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  1. 2020年8月10日 · On 1 October 2019, the Arrangement Concerning Mutual Assistance in Court-ordered Interim Measures in Aid of Arbitral Proceedings by the Courts of the Mainland of the Hong Kong Special Administrative Region (the “ Arrangement ”) came into force. It was previously reported on the blog here and here.

  2. 2021年10月27日 · Hong Kong Arbitration Week Recap: ADR in Asia Conference – HK-PRC Interim Measures Arrangement – 2 Years on. Hong Kong Arbitration Week 2021 is upon us, with a number of exciting in-person, virtual and hybrid events. On 27 October 2021, the ADR in Asia Conference was held, focussing on “ Tomorrow’s Disputes Today ”. After ...

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  4. arbitrationblog.kluwerarbitration.com › 2021/10/28 › hong-kongKluwer Arbitration Blog

    2021年10月28日 · Mr Starr outlined several key differences between Hong Kong and PRC practices: (1) asset clues are required by the PRC courts, for which private investigators are normally engaged; (2) translation and notarisation for the PRC require extra time; (3) there is a need for security in the PRC, often by way of insurance; and (4) service of the preser...

  5. 2022年10月23日 · This August, Dr. Mariel Dimsey assumed the position of HKIAC Secretary-General, succeeding Ms. Sarah Grimmer, who served in the position for six years. Mariel brings with her extensive, 15-years’ experience as counsel and arbitrator in international arbitration, spanning various jurisdictions and legal traditions.

  6. 2020年7月17日 · Pursuant to Article 239 of the Civil Procedure Law of the People’s Republic of China (Revised in 2017) (the “ Civil Procedure Law ”), the limitation period applicable to applications for enforcement of awards is two years. The starting point for the calculation, and the rules on refreshment and suspension of the limitation period, are worth noting.

  7. Known as “preservation” in civil law jurisdictions and “interim measures” in common law jurisdictions, these measures are, essentially, preventive reliefs to ensure the enforcement of final arbitration award, and to protect the parties’ legal rights. The Arrangement adopts the same term of "preservation".

  8. 2019年10月25日 · On 1 October 2019, Mainland Chinese and Hong Kong bodies brought into force a reciprocal arrangement with significant implications for Hong Kong as a seat of arbitration. The arrangement allows the courts of each jurisdiction to award interim measures in support of arbitrations seated in the other territory.

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