Last edited by Sagar
Saturday, July 25, 2020 | History

3 edition of European Cross-Border Insolvency Regulation found in the catalog.

European Cross-Border Insolvency Regulation

by Jona Israel

  • 46 Want to read
  • 4 Currently reading

Published by Intersentia Publishers .
Written in English

    Subjects:
  • Nonfiction,
  • General,
  • Law

  • The Physical Object
    FormatHardcover
    Number of Pages383
    ID Numbers
    Open LibraryOL12806431M
    ISBN 109050954987
    ISBN 109789050954983

    Pt. 1. Council Regulation (EC) No / of 29 May on Insolvency Proceedings --pt. 2. Article of the German Act Introducing the Insolvency Act (EGInsO) Implementing Regulation (EC) / on Insolvency Proceedings --pt. 3. Country reports --pt. 4. UNCITRAL Model law on Cross-Border Insolvency. Series Title.   This article compares the Recast European Insolvency Regulation of with the UNCITRAL Model Law on Cross‐Border Insolvency of , focussed on their scope of application, international jurisdiction and the coordination of main and secondary proceedings.

    This revised edition also features the full text of the EIR Recast, the European Communication and Cooperation Guidelines for Cross-Border Insolvency () and the EU Cross-Border Insolvency Court-to-Court Communications Principles and Guidelines (), as well a . Maritime Cross-Border Insolvency: Under the European Insolvency Regulation and the UNCITRAL Model Law (Maritime and Transport Law Library series) by Lia Athanassiou. Under the European Insolvency Regulation and the UNCITRAL Model Law Lia Athanassiou, The publisher has supplied this book in DRM Free form with digital watermarking.

    The substantive provisions of the EU Regulation on Insolvency Proceedings (the Recast Regulation) came into force on 26 June The previous European insolvency regulation – the EC Regulation on Insolvency Proceedings (the Original Regulation) – was possibly the most significant piece of European legislation in the insolvency arena in recent times and its scope has . This book provides a distilled and accessible analysis of the European cross-border insolvency law. With reference to the amended Insolvency Regulation (EIR) and related sources it examines the issues involved in intra-member state cross-border insolvency.


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European Cross-Border Insolvency Regulation by Jona Israel Download PDF EPUB FB2

This book presents a comprehensive analysis of the regulation of cross-border insolvencies in Europe. Council Regulation / on Insolvency Proceedings forms the natural focal point of such a study. This book presents a comprehensive analysis of the regulation of cross-border insolvencies in Europe.

Council Regulation / on Insolvency Proceedings forms the natural focal point European Cross-Border Insolvency Regulation book such a study. However, while this book explores in detail the background, legal basis as well as the substance of the Regulation, it also contains an examination of the Regulation from two wider.

This book is a comprehensive commentary on the EIR in light of recent decisions of the ECJ and decisions of the judicatures of the various Member States of the EU. It contains a commentary on ArticleSections 1 to 11 of the German EGInsO (The Act Introducing the Insolvency Act), as well as country reports on the international insolvency laws of France, Great Britain, and Hungary.

The thesis of this book is that cross-border insolvency rules of all kinds (e.g. European Insolvency Regulation, UNCITRAL Model Law, ALI Principles for the NAFTA States, national laws such as Chapter 15 US Bankruptcy Code or Sch. 1 Cross-Border Insolvency Regulation ) are founded on, and can be traced back to, basic values and that they aim to pursue and enforce such standards.

The first major legal instrument dealing with cross-border insolvencies in the European Union (EU) has been the European Insolvency Regulation (EIR ). It. This book comprises contributions relating to the Insolvency Regulation Recast, which recently entered into force, and concentrates on the issues pertaining to jurisdiction, such as the problem of forum shopping by re-locating the debtor’s centre of main interests.

A practice note on the international aspects of insolvency as they continue to develop, including the Insolvency Regulationthe Recast Insolvency Regulation, the UNCITRAL model law on cross-border insolvencies, section of the Insolvency Act and the common law.

(1) On 12 Decemberthe Commission adopted a report on the application of Council Regulation (EC) No / (3).The report concluded that the Regulation is functioning well in general but that it would be desirable to improve the application of certain of its provisions in order to enhance the effective administration of cross-border insolvency proceedings.

The Recast Insolvency Regulation applies only to insolvencies commencing on or after 26 June insolvencies commencing before then are governed, where it applies, by the Insolvency Regulationfor information on which, see Practice note, The EC Regulation on insolvency proceedings.

of cross-border insolvency proceedings. Since that Regulation has been amended several times and fur ther amendments are to be made, it should be recast in the interest of clar ity.

(2) The Union has set the objective of establishing an area of freedom, secur ity and justice. cross border security and insolvency Download cross border security and insolvency or read online books in PDF, EPUB, Tuebl, and Mobi Format.

Click Download or Read Online button to get cross border security and insolvency book now. This site is like a library, Use search box in the widget to get ebook that you want. This updated edition describes the framework of the European Insolvency Regulation Recast (adopted in June ), reviews its major rules, highlights the differences from the old EIRand makes references to the most important and recent cases of the Court of Justice of the European Union.

Unusually for a European regulation, the EC Insolvency Regulation does not seek to harmonise insolvency laws between the different member states. Like the UNCITRAL Model Law on Cross-Border Insolvency, the EC Regulation also employs the concept of a centre of main interest (or "COMI").

The definition of the COMI is left to member states in. Book Description. Maritime Cross-Border Insolvency is a comprehensive comparative examination of both insolvency regimes (UNCITRAL and EU) in shipping with reference to the main jurisdictions having adopted the UNCITRAL regime, i.e.

USA, UK, Greece. José Carles of Carles Cuesta Abogados in Spain praises a commentary on the European Insolvency Regulation edited by Reinhard Bork and Kristin van Zwieten – hailing the arrival of what will be a key text for practitioners in the coming years as the recast regulations are implemented.

"This book is a 'must read' for every insolvency and restructuring professional who wishes to learn about how the new regulation should and will be applied a fantastic contribution to the existing library of cross-border insolvency publications, as it is possibly the first work on the EIR that presents a complete pan-European perspective Price: $   Maritime Cross-Border Insolvency is a comprehensive comparative examination of both insolvency regimes (UNCITRAL and EU) in shipping with reference to the main Maritime Cross-Border Insolvency book.

Under the European Insolvency Regulation and the UNCITRAL Model : Lia Athanassiou. This book presents a comprehensive analysis of the regulation of cross-border insolvencies in Europe. Council Regulation / on Insolvency Proceedings forms the natural focal point of such a study.

The thesis of this book is that cross-border insolvency rules of all kinds (e.g. European Insolvency Regulation, UNCITRAL Model Law, ALI Principles for the NAFTA States, national laws such as Chapter 15 US Bankruptcy Code or Sch.

1 Cross-Border Insolvency Regulation ) are founded on, and can be. This book provides a distilled and accessible analysis of the European cross-border insolvency law.

With reference to the amended Insolvency Regulation (EIR) and related sources it examines the issues involved in intra-member state cross-border book analyses in depth the main areas of change brought about by the EIR such as the restatement of the meaning of 'centre of main.

Providing a practical guide to cross-border insolvency proceedings in each European country, European Cross Border Insolvency: Guides you around the framework within which the different insolvency regimes of the EU operate; Covers in detail the EC Regulation on Insolvency Proceedings, analysing all relevant case law.The Recast Regulation replaces the EU Regulation on Insolvency Proceedings (Regulation /) from 26 June is intended to improve the efficiency and effectiveness of cross-border insolvency, benefit creditors and debtors, facilitate the survival of businesses and present a second chance for entrepreneurs.This book provides a distilled and accessible analysis of the European cross-border insolvency law.

With reference to the amended Insolvency Regulation (EIR) and related sources it examines the issues involved in intra-member state cross-border insolvency.

The book analyses in depth the main areas of change brought about by the EIR such as the restatement of the meaning of 'centre of main.