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Choice of law rules and statutory interpretation in the Ruby Princess Case in Australia

Conflict of Laws

Written by Seung Chan Rhee and Alan Zheng Suppose a company sells tickets for cruises to/from Australia. The company is incorporated in Bermuda. The passengers hail from Australia, and other countries. The contracts contain an exclusive foreign jurisdiction clause nominating a non-Australian jurisdiction.

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Tort Litigation against Transnational Companies in England

Conflict of Laws

This post is an abridged adaptation of my recent article, Private International Law and Substantive Liability Issues in Tort Litigation against Multinational Companies in the English Courts: Recent UK Supreme Court Decisions and Post-Brexit Implications in the Journal of Private International Law.

Tort 75