Un Convention On The Use Of Electronic Communications In International Contracts
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Author | : Amelia H. Boss |
Publisher | : Kluwer Law International B.V. |
Total Pages | : 550 |
Release | : 2008-01-01 |
Genre | : Law |
ISBN | : 9041127496 |
Error in electronic communications; and problems of identity and data integrity. Several authors provide in-depth analysis of the interaction between ECC provisions and other relevant legal regimes (including the United States, ASEAN, the EU, Sri Lanka, India, and China), as well as the interrelations between the ECC and ICC rules, rules under the CISG, and the trade usages of the lex mercatoria. The various contributors highlight issues arising from each ECC provision, and provide well-informed insight into how remaining problems are likely to be resolved as the Convention enters into force. Stakeholders from all concerned sectors of the legal community businesspersons and their counsel, IGO and government officials, and academics will benefit greatly from the detailed information, analysis, and guidance offered here.
Author | : The Law Library |
Publisher | : Independently Published |
Total Pages | : 54 |
Release | : 2019-02-03 |
Genre | : |
ISBN | : 9781795743273 |
The Law Library presents the complete text of U.N. Convention on the Use of Electronic Communications in International Contracts (United States Treaty) Updated as of 12/20/18 This ebook contains: - The complete text of U.N. Convention on the Use of Electronic Communications in International Contracts (United States Treaty) - A dynamic table of content linking to each section - A table of contents in introduction presenting a general overview of the structure
Author | : United Nations Commission on International Trade Law |
Publisher | : United Nations Publications |
Total Pages | : 100 |
Release | : 2007 |
Genre | : Business & Economics |
ISBN | : 9789211337563 |
Adopted by the UN General Assembly in November 2005, the Convention on the Use of Electronic Communications in International Contracts seeks to enhance legal certainty and commercial predictability where electronic communications are used in international contracts. Topics addressed in the Convention include: the location of the parties and information requirements; treatment of contracts; form requirements; time and place of dispatch and receipt of electronic communications; the use of automated message systems for contract formation; and provisions for signature, ratification, acceptance or approval.
Author | : United Nations |
Publisher | : UN |
Total Pages | : 108 |
Release | : 2007-06-29 |
Genre | : |
ISBN | : 9789214330370 |
Author | : |
Publisher | : |
Total Pages | : 17 |
Release | : 2016 |
Genre | : Digital signatures |
ISBN | : |
Author | : J. Benjamin Lambert |
Publisher | : |
Total Pages | : 0 |
Release | : 2014 |
Genre | : |
ISBN | : |
The use of electronic commerce in international trade has grown exponentially in the last few years. However, to date few legal instruments have harmonized the law in relation to electronic communications. In response to this gap, UNCITRAL initiated the Convention on the Use of Electronic Communications in International Contracts (ECC). The Convention's purpose is to “facilitate the use of electronic communications in international trade by assuring that contracts concluded and other communications exchanged electronically are as valid and enforceable as their traditional paper-based equivalents.” A simple goal, one would think, yet after several years of dormancy only two nations have ratified the Convention. However, the Convention may now be on the brink of coming into force as the Australian Parliament recently passed the Electronic Transactions Act 2011, which was explicitly drafted to comply with the ECC. Within the next year the Australian process will likely be complete at which time the Convention will come into force. Upon this occurrence, this unknown Convention will begin to impact the enforceability of electronic communication in key regions and industries. Consequently, it is imperative that practitioners have a basic understanding of the Convention's coverage.
Author | : United Nations Commission on International Trade Law |
Publisher | : |
Total Pages | : 11 |
Release | : 2005 |
Genre | : Contracts (International law) |
ISBN | : |
Author | : Nations Unies. Commission pour le droit commercial international |
Publisher | : |
Total Pages | : 11 |
Release | : 2005 |
Genre | : Convention des Nations Unies sur l'utilisation de communications électroniques dans les contrats internationaux |
ISBN | : |
Author | : J. Benjamin Lambert |
Publisher | : |
Total Pages | : 46 |
Release | : 2016 |
Genre | : |
ISBN | : |
In 2006 the United Nation ...
Author | : Charles H. Martin |
Publisher | : |
Total Pages | : 0 |
Release | : 2006 |
Genre | : |
ISBN | : |
The Convention on the Use of Electronic Communications in International Contracts (CUECIC) was approved by the United Nations Commission on International Trade Law (UNCITRAL) in July 2005. It is now available for ratification by U.N. member states. CUECIC is based on the Model Law on Electronic Commerce adopted by UNCITRAL in 1996. The Model Law has served as the basis for electronic signature and electronic commerce legislation at the federal and state levels in the United States and other countries. The similarity of CUECIC to domestic electronic commerce laws should facilitate its use for international contracts. CUECIC requires, however, that its terms be interpreted by domestic courts according to its international character and the need to promote uniformity in its application. These same rules of interpretation also apply to the UNCITRAL Convention on Contracts for the International Sale of Goods (CISG), but no implementing legislation accompanied CISG ratification by the United States to locate the CISG, and to annotate decisions interpreting it, within the body of the code of federal statutes. Like the CISG, there will be no authoritative judicial body or expert commentary to resolve conflicts or ambiguities in judicial interpretations of CUECIC. Varying interpretations may also result from the different versions of CUECIC that could be created by national declarations varying its scope of applicability. Therefore, despite the common source of CUECIC and U.S. electronic commerce laws in the UNCITRAL Model Law on Electronic Commerce, the use of CUECIC for international commercial contracts might be restrained by the same procedural difficulties that have limited the use of the CISG.