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Praxis des Internationalen Privat- und Verfahrensrechts (IPRax) 5/2023: Abstracts

Conflict of Laws

Nitschmann: The consequences of Brexit on Civil Judicial Cooperation between Germany and the United Kingdom The United Kingdom’s withdrawal from the European Union has far-reaching consequences for international civil procedure law. Rüsing: Dialogue International Family Law, 28th – 29th April, Münster, Germany.

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Praxis des Internationalen Privat- und Verfahrensrechts (IPRax) 4/2022: Abstracts

Conflict of Laws

Hau: International jurisdiction based on nationality in European family law. In the judgment C-568/20, the CJEU held that a decision of a court of an EU Member State which merges a judgment of a third state is enforceable under Articles 39 ss of the Brussels Ibis Regulation. In the EU, the Succession Regulation No.

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Praxis des Internationalen Privat- und Verfahrensrechts (IPRax) 5/2022: Abstracts

Conflict of Laws

Localising the place of damage in the context of capital investment cases is a perennial problem both under national and European civil procedural law. The Cologne court decision combined several precedents of the German Federal Court and the European Court of Justice. This norm is part of procedural law.

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A call for the wider study of Private International Law in Africa: A Review of Private International Law In Nigeria

Conflict of Laws

The book expertly navigates the topic of jurisdiction, a cardinal concept under Nigerian adjectival law, but which in some cases is weaponised and has now acquired exaggerated notoriety to the extent that it now constitutes a cog in the wheel of the smooth and timely determination of cases in Nigeria.

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