Cross-border insolvencies between EU and third countries are a common phenomenon in business, but only marginally addressed by EU law. Is it time for the EU to adopt a regulatory instrument to address this topic? Which role might UNCITRAL play in this context? The present volume provides structured insights, exploring classic cross-border insolvency topics such as universality and territoriality, recognition of foreign proceedings, rules for domestic proceedings etc.), but also addresses frontier issues like ADR and new technologies in cross-border insolvency. The book gathers the reflections of 32 top global experts in international insolvency law from 19 EU and non-EU countries and develops reflections for further legislative action.
Alexander Trunk
EU International Insolvency Law European Insolvency Regulation EU law and third countries UNCITRAL - Insolvency Law UNCITRAL-Model Laws on Cross-border Insolvency Comparative law on cross-border insolvency International Civil Procedure International Private Law Insolvency Law Restructuring Law Internationales Insolvenzrecht der EU Europäische Insolvenzverordnung EU-Recht und Drittstaaten UNCITRAL - Insolvenzrecht UNCITRAL-Modellgesetze über Internationales Insolvenzrecht