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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. 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...

  3. 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.

  4. 2020年7月17日 · Noteworthy Points on Limitation Periods Applicable to Award Enforcement in the Chinese Mainland and Hong Kong: A Brief Summary and Update. Brad Wang ( CIETAC (HK)) / July 17, 2020 / Leave a comment. CIETAC Hong Kong Arbitration Center. For awards issued in cases administered by the China International Economic and Trade Arbitration ...

  5. 2020年10月22日 · First, what is a bad challenge? As illustrated by the previous session of GAR Interactive of the same day, the “ GAR decision time ”, there are a number of scenarios where parties, in-house counsel and external counsel have had to consider whether a challenge should be brought.

  6. arbitrationblog.kluwerarbitration.com › 2022/10/28 › c-v-dKluwer Arbitration Blog

    2022年10月28日 · Kluwer Arbitration Blog. C v D: Hong Kong in Step with the Admissibility Versus Jurisdiction Debate. Prakritee Yonzon (University of Hong Kong) · Friday, October 28th, 2022 · ArbitralWomen. The differences between admissibility and jurisdiction in arbitration have been recognized in various jurisdictions, such as the UK, US and Singapore, and ...

  7. 2016年3月29日 · The Hong Kong International Arbitration Centre (the “HKIAC”) has recently published a new Practice Note on Consolidation of Arbitrations (the “Practice Note”), which came into force on 1 January 2016. It is applicable to cases where a party submits a request for consolidation under Article 28 of the HKIAC Administered ...

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