Judicial Cooperation in Commercial Litigation: the British Cross-Border Financial Centre World | Buch | 978-0-85490-310-8 | www.sack.de

Buch, Englisch, 316 Seiten, Format (B × H): 152 mm x 229 mm

Judicial Cooperation in Commercial Litigation: the British Cross-Border Financial Centre World


3. Revised Auflage 2025
ISBN: 978-0-85490-310-8
Verlag: Wildy, Simmonds and Hill Publishing

Buch, Englisch, 316 Seiten, Format (B × H): 152 mm x 229 mm

ISBN: 978-0-85490-310-8
Verlag: Wildy, Simmonds and Hill Publishing


Formerly published as ‘Cross-Border Judicial Cooperation in Offshore Litigation (The British Offshore World)’, this third edition has a new title and provides a new perspective. This edition casts off the ‘offshore’ mantle, contending that the subject jurisdictions are more aptly described as ‘cross-border’ financial centres rather than “offshore” centres.

The jurisdictions covered in this edition are Bermuda, the Cayman Islands, Guernsey, Jersey, and the Isle of Man. They are each territories with varying degrees of internal self-governance for which the United Kingdom Government retains responsibility for external affairs. Each jurisdiction hosts a high concentration of foreign investment vehicles which gives rise to a high volume of cases where the efficacy of mechanisms for judicial cooperation between local and foreign courts is important for protecting the value of private investments and preventing or remediating financial misconduct.

The book is written solely by judges with experience of adjudicating cross-border commercial cases in each of the five subject jurisdictions, providing a judicial insight into how the courts approach the three main aspects of judicial cooperation covered:  . obtaining evidence and information for foreign proceedings

. enforcing foreign judgments and arbitral awards

. cross-border insolvency.  These issues are addressed in a thematic, practice-focussed manner, with relatively brief summaries of the substantive law complemented by commentary on the extent to which local law reflects international instruments and the adequacy of existing statutory or common/customary law rules.

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Zielgruppe


This book will be of interest to litigation and transactional lawyers, judges, academics and anyone interested in the topic of judicial cooperation in commercial litigation in the British cross-border financial centre world.

Weitere Infos & Material


Preface

Contributors’ bios

Table of Cases

Table of Statutes and Secondary Legislation

Table of International Materials

Constitutional and Legal System Overview

PART 1 - OVERVIEW

1  Why Judicial Cooperation in Civil and Commercial Litigation in the British Cross-border Financial Centre World Matters: An Overview

1.1  ‘Judicial cooperation’ defined

1.2  Issues arising for consideration

1.3  The relevance of the cross-border financial commercial context

1.4  Objectives of the present study

PART II – OBTAINING EVIDENCE AND INFORMATION FOR USE IN FOREIGN PROCEEDINGS

2  Cayman Islands

2.1  Introduction

2.2  The extent to which international conventions or model laws have been implemented formally and/or in practice

2.3  The applicable statutory frameworks and their adequacy

The Evidence Order

Statutory support for Norwich Pharmacal and other interim relief

2.4  The extent to which common law judicial cooperation takes place and the adequacy of common law tools

Norwich Pharmacal jurisdiction

Bankers Trust jurisdiction

Disclosure orders

2.5  Future trends, problems and/or solutions

Obtaining evidence for use in foreign proceedings

Obtaining information for use in foreign proceedings

2.6  Conclusion

3  Isle of Man

3.1  Introduction

3.2  The extent to which international conventions or model laws have been implemented formally and/or in practice

3.3  The applicable statutory frameworks and their adequacy

3.4  The extent to which common law judicial cooperation takes place and the adequacy of common law tools

Norwich Pharmacal and Bankers Trust orders

3.5  Asset freezing and ancillary disclosure orders – leave to use information in other jurisdictions

Bankers Books Evidence Act 1935

3.6  Confidentiality

3.7  Summary

3.8  Future trends, problems and/or solutions

4  Bermuda

4.1  Introduction

4.2  Letters of request

The extent to which international conventions or model laws have been implemented formally and/or in practice

The applicable statutory frameworks and their adequacy

The extent to which common law judicial cooperation takes place and the adequacy of common law tools

4.3  Information orders

Disclosure orders ancillary to freezing orders

Norwich Pharmacal orders

Bankers Trust orders

Anton Piller orders

4.4  Future trends, problems and/or solutions

Obtaining evidence

Information orders

5  Guernsey

5.1  Introduction

5.2  The extent to which international conventions or model laws have been implemented formally and applicable statutory frameworks and their adequacy

5.3  The extent to which common law judicial cooperation takes place and the adequacy of common law tools

Disclosure orders ancillary to freezing orders

Norwich Pharmacal orders

Anton Piller orders

Bankers Trust orders

Adequacy of common law tools

5.4  Future trends, problems and/or solutions

6  Jersey

6.1  The extent to which international conventions or model laws have been implemented formally

6.2  The applicable statutory frameworks and their adequacy

The Service of Process and Taking of Evidence (Jersey) Law 1960

Making the request

Nature of the evidence

Documentary evidence

Examination of witnesses

Non-statutory procedural guidelines regarding the examination of witnesses

Adequacy of the statutory frameworks

6.3  The extent to which customary law of judicial cooperation takes place and the adequacy of customary law tools

Information/freezing orders

Disclosure orders

The importance of comity

Norwich Pharmacal orders

Bankers Trust orders

The Bankers’ Books Evidence (Jersey) Law 1986

Limits to disclosure orders

Voluntary gathering of evidence

Confidentiality

Adequacy of the customary law tools

6.4  Future trends, problems and solutions

PART III – ENFORCING FOREIGN JUDGMENTS

7  Cayman Islands

7.1  Introduction

7.2  The extent to which international conventions or model laws have been implemented formally and/or in practice

Foreign judgments

Foreign arbitration awards

7.3  The applicable statutory frameworks and their adequacy

Foreign judgments

Foreign arbitration awards

7.4  The extent to which common law judicial cooperation takes place and the adequacy of common law tools

Foreign judgments

Foreign arbitration awards

7.5  Future trends, problems and/or solutions

Foreign judgments

Foreign arbitration awards

7.6  Conclusion

8  Isle of Man

8.1  Introduction

8.2  The extent to which international conventions or model laws have been implemented formally and/or in practice (foreign judgments)

8.3  The applicable statutory frameworks and their adequacy

Enforcement of foreign judgments pursuant to statute

8.4  The extent to which common law judicial cooperation takes place and the adequacy of common law tools (foreign judgments)

Enforcement of foreign judgments at common law

Ways of enforcing the foreign judgment

Summary in respect of foreign judgments

8.5  The extent to which international conventions or model laws have been implemented formally and/or in practice (foreign awards)

The relevant framework for the enforcement of foreign awards

Enforcement of foreign awards pursuant to statute

8.6  The extent to which common law judicial cooperation takes place and the adequacy of common law tools (foreign awards)

Enforcement of foreign awards at common law

Stay of legal proceedings

Summary in respect of enforcement of foreign awards

8.7  Future trends, problems and/or solutions

9  Bermuda

9.1  Introduction

9.2  The extent to which international conventions or model laws have been implemented formally and/or in practice

Foreign judgments

Foreign arbitration awards

9.3  The applicable statutory frameworks and their adequacy

Foreign judgments

Foreign arbitration awards

9.4  The extent to which common law judicial cooperation takes place and the adequacy of common law tools

Foreign judgments

Foreign arbitration awards

9.5  Future trends, problems and/or solutions

10 Guernsey

10.1 Introduction

10.2 The Reciprocal Enforcement Law regime

10.3 Enforcement by debt action

10.4 Recognition and enforcement of foreign arbitration awards

10.5 Future trends, problems and/or solutions

11 Jersey

11.1 Introduction

11.2 The extent to which international conventions or model laws have been implemented formally

Statutory enforcement

11.3 The applicable statutory frameworks and their adequacy

The 1960 Law – registration of a foreign judgement

Making the application for registration

Setting aside registration of the judgment

Jurisdiction of the foreign court

11.4 The extent to which customary law of judicial cooperation takes place and the adequacy of customary law tools

Customary law rules

The relevant framework for the enforcement of foreign arbitration awards

11.5 Future trends, problems and solutions

PART IV – JUDICIAL COOPERATION IN CROSS-BORDER INSOLVENCY

12 Cayman Islands

12.1 Introduction

12.2 The extent to which international conventions or model laws have been implemented formally and/or in practice

12.3 The applicable statutory frameworks and their adequacy

12.4 The extent to which common law judicial cooperation takes place and the adequacy of common law tools

12.5 Future trends, problems and/or solutions

12.6 Conclusion

13 Isle of Man

13.1 Introduction

13.2 The extent to which international conventions or model laws have been implemented formally and/or in practice

13.3 The applicable statutory frameworks and their adequacy

Interim relief in the absence of substantive proceedings

Personal bankruptcy and cross-border co-operation

Corporate insolvency and cross-border co-operation

13.4 The extent to which common law judicial co-operation takes place and the adequacy of common law tools

Cambridge Gas and Singularis

Is Singularis good Manx law?

Some earlier Manx cases

An unfortunate aura of uncertainty

13.5 Summary

13.6 Future trends, problems and/or solutions

14 Bermuda

14.1 Introduction

14.2 Statutory framework for judicial cooperation and its adequacy

14.3 The extent to which common law judicial cooperation takes place and the adequacy of common law tools

14.4 Cross border assistance in parallel proceedings between Bermuda and the United States

14.5 Cross-border assistance in parallel proceedings between Bermuda and Hong Kong

Abuse of the cross-border assistance regime?

14.6 Cross-border assistance in parallel proceedings between multiple jur



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