Insurance in Private International Law: A European PerspectiveThis book provides a much-needed analysis of this very important subject for international business lawyers,including discussion of the jurisdictional and choice of laws issues arising from cross-border contracts of insurance and reinsurance concluded by electronic means. This book is the first published in England to devote itself to a detailed analysis of the choice of laws rules in the E.C. Insurance Directives. It is aimed at academics and practitioners, at private international lawyers and at insurance lawyers. The private international law rules of the E.C. Insurance Directives deal with the applicable law to insurance contracts covering risks situated within the EU. They do not deal with the applicable law to reinsurance contracts and insurance contracts covering risks situated outside the EU. This should be ascertained by reference to the choice of laws provisions in the 1980 Rome Convention on the law applicable to contractual obligations. Detailed discussion of these rules is also provided, and proposals for reform suggested. |
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Contents
Jurisdictional Recognition and Enforcement of Judgments Problems and Possible Solutions | 45 |
The Law Applicable to Insurance and Reinsurance Contracts Under the 1980 Rome Convention and the EC Insurance Directives | 87 |
The European Private International Law of Compulsory Insurance | 197 |
The European Private International Law Rules of Insurance and Reinsurance Contracts by Electronic Means | 231 |
Appendices | 265 |
303 | |
Other editions - View all
Insurance in Private International Law: A European Perspective Francesco Seatzu Limited preview - 2003 |
Insurance in Private International Law: A European Perspective Francesco Seatzu No preview available - 2003 |
Common terms and phrases
According action agreement allows appears applicable law arise Article Assurance Brussels Regulation choice of law choose circumstances Civil clear commerce compulsory insurance concerning concluded connected considered consumer contained contracts concluded courts deal determine domiciled droit duty electronic enforcement English establishment European Community European Union example fact foreign freedom governing grants habitual residence implementation imposes insurance and reinsurance insurance contracts insurance contracts covering Insurance Directive interests interpretation issues Italy judgment jurisdiction law applicable law provisions law rules liability mandatory rules matters means Member Moreover motor vehicle paragraph parties performance person policyholder principle private international law problems protection question referred regard relating relationship relevant Report requirements restricted result Rome Convention scope Second Non-Life Directive single specific take out insurance territories Third tion tort United valid