An empirical study of the implementation in the United States of the Model Law on Cross Border Insolvency
JL Westbrook - Am. Bankr. LJ, 2013 - HeinOnline
International insolvency proceedings uniquely require coordination among a number of
national courts to preserve the value of multinational corporations that have become …
national courts to preserve the value of multinational corporations that have become …
Private International Law Rules in the Insolvency Regulation Recast: A Reform or a Restatement of the Status Quo?
FM Mucciarelli - European Company and Financial Law Review, 2016 - degruyter.com
The European Parliament, after a lengthy debate, has eventually approved a reform of
Regulation 1346/2000 on cross-border insolvency proceedings (hereinafter, the 'Insolvency …
Regulation 1346/2000 on cross-border insolvency proceedings (hereinafter, the 'Insolvency …
A new role for secondary proceedings in international bankruptcies
JAE Pottow - Tex. Int'l LJ, 2010 - HeinOnline
1. Negative propositions are difficult to support. For example, one article with the subject
right in its title was only three pages long. See Adam AI-Attar, Using and Losing Secondary …
right in its title was only three pages long. See Adam AI-Attar, Using and Losing Secondary …
Cross-border insolvency of enterprise groups: the choice of law challenge
I Mevorach - Brook. J. Corp. Fin. & Com. L., 2014 - HeinOnline
It is not surprising that the problems of choice of law and international group insolvency have
not been sufficiently addressed during the initial development of cross-border insolvency …
not been sufficiently addressed during the initial development of cross-border insolvency …
The arbitration of cross-border insolvencies
AL Gropper - Am. Bankr. LJ, 2012 - HeinOnline
The subject of cross-border insolvency-the recognition that a bankruptcy or insolvency
proceeding brought in one jurisdiction is accorded in another-has received significant …
proceeding brought in one jurisdiction is accorded in another-has received significant …
Harmonizing choice-of-law rules for international insolvency cases: virtual territoriality, virtual universalism, and the problem of local interests
CW Mooney Jr - Brook. J. Corp. Fin. & Com. L., 2014 - HeinOnline
This Article explores the potential content and the feasibility of a set of harmonized choice-of-
law rules that would apply in insolvency proceedings. For brevity's sake, the Article refers to …
law rules that would apply in insolvency proceedings. For brevity's sake, the Article refers to …
Current Problems and Trends in the Administration of Transnational Insolvencies Involving Enterprise Groups: The Mixed Record of Protocols, the UNCITRAL Model …
AV Sexton - Chi. J. Int'l L., 2011 - HeinOnline
That commerce has become international in scope is a fact known to all in the legal
community. Many large companies now have operating subsidiaries in a large number of …
community. Many large companies now have operating subsidiaries in a large number of …
Reciprocal comity
EJ Janger - Tex. Int'l LJ, 2010 - HeinOnline
Let me begin by saying what an honor it is to be here. I am a relative newcomer to the field of
cross-border bankruptcy. The thought that I might have something useful to say to this group …
cross-border bankruptcy. The thought that I might have something useful to say to this group …
A comment on universal proceduralism
JL Westbrook - Colum. J. Transnat'l L., 2009 - HeinOnline
Professor Janger's thoughtful proposal of" universal proceduralism" raises a number of
important issues. In particular, his proposal invites a focus on the place of local insolvency …
important issues. In particular, his proposal invites a focus on the place of local insolvency …
Corporate group cross-border insolvencies between the United States & European Union: legal & economic developments
N Wouters, A Raykin - Emory Bankr. Dev. J., 2012 - HeinOnline
As corporations become increasingly globalized, cross-border insolvencies are more
prevalent. Insolvency raises the problems of any cross-border dispute: reciprocity, venue …
prevalent. Insolvency raises the problems of any cross-border dispute: reciprocity, venue …