
Asymmetric arbitration and jurisdiction agreements have recently sparked debate among legal scholars and courts in many jurisdictions worldwide. Adopting a holistic approach, this book examines their enforceability in leading civil law and common law jurisdictions (France, Germany, UK, US) and beyond, under the New York Arbitration Convention, the European Arbitration Convention, the Brussels Ibis Regulation and the Lugano Convention, while also considering the case law of the European Court of Justice and the European Court of Human Rights.