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This study discusses the position of secured creditors in cross-border insolvency proceedings. The book contains a comparative analysis of, inter alia, the cross-border effects of insolvency proceedings and the enforcement of security rights. Present Dutch customary private international law contrasts sharply with recent international developments, such as the EC Insolvency Regulation (and German legislation based on it) and the UNCITRAL Model Law on Cross-Border Insolvency.