The UCP as a Choice of Non-State Law in International Commercial Contracts
نویسندگان
چکیده
The article analyses the UCP as a form of non-State law. It demonstrates that in some courts may inadvertently be applied governing law agreement instead contractual terms. proceeds to analyse against 3 Hague Principles on Choice Law International Commercial Contracts well along set criteria, developed by author, endeavours provide certainty choice On basis application above criteria comes conclusion would suitable agreement.
منابع مشابه
critical period effects in foreign language learning:the influence of maturational state on the acquisition of reading,writing, and grammar in english as a foreign language
since the 1960s the age effects on learning both first and second language have been explored by many linguists and applied linguists (e.g lennerberg, 1967; schachter, 1996; long, 1990) and the existence of critical period for language acquisition was found to be a common ground of all these studies. in spite of some common findings, some issues about the impacts of age on acquiring a second or...
15 صفحه اولthe unidroit principles of international commercial contracts and the harmonization of international sales law
0
متن کاملApplication of Lex Mercatoria as Applicable Law in International Commercial Arbitration
In settling disputes regarding international commercial arbitration the parties may instead of choosing the law of one country to choose lex mercatoria or the law of merchants as a applicable law to the disputes. When this choice is possible that applicable choice of law rules recognize such power for the parties. The principle of autonomy is choosing lex mercatoria has been recognized in many ...
متن کاملPayment of part of the amount of the commercial document in Iranian law and international conventions
The general legal rule in fulfilling the obligation is to fulfill the whole subject of the obligation in due time. According to Article 277 of the civil code {the obligor can not force the obligee to accept part of the subject of the promise…}. Now the question is whether this rule also applies in payment of bill of exchange،promissory note and check or not? and are the same provisions of Iran’...
متن کاملذخیره در منابع من
با ذخیره ی این منبع در منابع من، دسترسی به آن را برای استفاده های بعدی آسان تر کنید
ژورنال
عنوان ژورنال: Potchefstroom Electronic Law Journal
سال: 2022
ISSN: ['1727-3781']
DOI: https://doi.org/10.17159/1727-3781/2022/v25i0a14579