Maritime Cross-Border Insolvency Under the European Insolvency Regulation and the UNCITRAL Model Law Maritime and Transport Law Library Series
Auteur : Athanassiou Lia
Maritime Cross-Border Insolvency is a comprehensive comparative examination of both insolvency regimes (UNCITRAL and EU) in shipping with reference to the main jurisdictions having adopted the UNCITRAL regime, i.e. USA, UK, Greece.
Opening Remarks
PART 1: Systemic conflict between the rules of maritime and insolvency law
Chapter 1: Insolvency mechanisms and the operation of shipping companies: Financial aspects
Chapter 2: Legal interaction between insolvency and maritime law
PART 2: Areas of conflict between maritime and insolvency law
Chapter 3: Opening of cross-border insolvency proceedings
Chapter 4: The treatment of maritime securities
Chapter 5. Insolvency and limitation of liability for maritime claims
Postface
Lia Athanassiou is a Professor at the School of Law, Athens University. She is a registered arbitrator and barrister and is senior partner at Athanassiou-Gerapetritis & Associates law firm in Athens. In 2015, she was appointed member of the Committee of Experts of the International Labor Organization and has written extensively on Maritime, Competition, Industrial Property, Company, European and Transport law in Greek, French, and English.
Date de parution : 12-2020
17.4x24.6 cm
Date de parution : 11-2017
17.4x24.6 cm
Thèmes de Maritime Cross-Border Insolvency :
Mots-clés :
Insolvency Proceedings; Cross-border Insolvency; insolvency maritime admiralty creditors debtors liens; Lex Fori Concursus; Maritime Creditors; Insolvency Regulation; Cross-border Insolvency Proceedings; Insolvency Estate; UNCITRAL Ml; Recast Regulation; Maritime Liens; Insolvency Law; Ship Mortgages; Debtor’s Main Interests; Lex Fori; Foreign Proceeding; Foreign Main Proceeding; Maritime Claims; EU Company; Lex Causae; Shipowning Companies; Non-main Proceeding; Open Insolvency Proceedings; Foreign Insolvency Proceedings; Lex Concursus; Freight Derivatives