Full Description
This book explores how the Convention on Contracts for the International Sale of Goods (CISG) interacts with non-uniform domestic laws, international laws and soft laws in jurisdictions around the world. It covers topics as diverse as: recent US federal court encounters with mthe CISG; roots and traces of the CISG in the Common European Sales Law (CESL); and potential coverage of 'emotional defects' by the CISG. Other chapters pose a novel approach to determining the CISG's scope or look beyond the CISG to future developments and directions. This volume is sure to provide food for thought for anyone advising on or interested in international commercial transactions, and is a valuable addition to the collections of academics and practitioners alike.
Contents
Preface; Foreword by Cyril Emery; 1. The Roots and Traces of the CISG in the Draft of a Common European Sales Law; 2. Reading Article 4 with Article 7 Glasses: Shaping the CISG's Material Scope; 3. Survey of Recent U.S. Cases Dealing with the United Nations Convention on Contracts for the International Sale of Goods (CISG); 4. The 'Swiss Proposal' on Future Work on International Contract Law - Building on Sandy Soil?; 5. Emotional Non-Conformity in the International Sale of Goods, Particularly in Relation to CSR-Policies and Codes of Conduct; 6. The Validity of International Sales Contracts: Irrelevance of the 'Validity Exception' in Article 4 Vienna Sales Convention and a Novel Approach to Determining the Convention's Scope; 7. Beyond the CISG.



