Intercountry Adoption From Hague Convention and Non-Hague Convention CountriesFamilies, ForServices, Human
The Future for Now: Forum Non Conveniens and the 2005 Hague Convention on Choice of Court Agreements 1 This chapter reviews the impact of the rules of the 2005 Hague Convention on Choice of Court Agreements on the application of the doctrine of forum non con... RA Brand,SR Jablonski - 《...
INTERNATIONAL CHILD ABDUCTIONS INVOLVING NON- HAGUE CONVENTION STATES: THE NEED FOR A UNIFORM APPROACH Emory International Law ReviewAlyar, Smita
摘要: Abbott v. Abbott. U.S. Supreme Court opinion on whether ne exeat rights create "rights of custody" in favor of noncustodial parents under the Hague Convention on the Civil Aspects of Child Abduction - Dialnet关键词:Abbott v. Abbott. U.S. Supreme Court opinion on whether ne exeat...
Broadening the view to measures of economic warfare which are not limited to the sectors treated in the previous chapters—trade, investment and currency—, this chapter contains the final case studies on sector non-specific economic warfare. First,...
2025 | The peoples have the right to decide their own collective destiny as established by the Bandung Conference in 1955 and the International Covenant on Civil and Political Rights of 1966, which was not gratuitous but a product of the struggle of the peripheral countries for their decolonizatio...
"The interests of children or the interests of the child? Discretionary non-return of a child under Art 13 of the Hague Convention on the Civil Aspects of International Child Abduction" 来自 asianlii.org 喜欢 0 阅读量: 21 作者: Emily 年份: 2011 ...
In this article, the author discusses the problems with abductions between Hague and non-Hague countries related to the accession of Hague Convention on the Civil Aspects of International Child Abduction. Topics discussed include hazards of international abduction, marriage, divorce and custody, ...
The 2005 Hague Convention: A Panacea for Non-Exclusive and Asymmetric Jurisdiction Agreements Too?The 2005 Hague Convention on Choice-of-Court Agreements is in force in the European Union (EU), Singapore, Mexico and Montenegro. The United Kingdom will separaSocial Science Electronic Publishing...
This chapter reviews the impact of the rules of the 2005 Hague Convention on Choice of Court Agreements on the application of the doctrine of forum non conveniens. In particular, it addresses the intersection of law dealing with choice of forum and the discretionary doctrine of forum non ...