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Titlebook: Use of the UNIDROIT Principles to Interpret and Supplement Domestic Contract Law; Alejandro Garro,José Antonio Moreno Rodríguez Conference

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Questionnaire on the Use of the UPICC in Order to Interpret or Supplement National Contract Law: Urfew provisions of the UPICC that may be relied upon in future cases to interpret or supplement the domestic law and also highlighting a few provisions that have been used for said purposes in the past.
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General Considerations on the Interaction of the UPICC and the Brazilian Law, it focuses on specific principles and rules of the UPICC, and indicates where they may interact productively with Brazilian domestic rules on contract law. In conclusion, the UPICC is considered to be a useful tool to interpret or supplement Brazilian domestic contract law.
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The UNIDROIT Principles As Reference for the Uniform Interpretation of National Laws: China,ustrated cases of the 2010 version of the UPICC to various provisions in Taiwanese contract law. The author concludes by pointing out several domestic case-law rules that are consistent with the UPICC.
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Questionnaire on the Use of the UPICC in Order to Interpret or Supplement National Contract Law: Gr for the protection of the Consumer, as subsequently amended and codified. Also, those provisions of the UPICC that have no counterpart can be used to show that international common usages indicate that the contract should be interpreted in the same way in Greece as well.
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The Unidroit Principles of International Commercial Contracts (UPICC) as Reference for the Uniform CC. The authors continue by comparing several provisions of the UPICC with their counterparts in Guatemalan legislation. The authors conclude by emphasizing the potential use of the UPICC in Guatemala while acknowledging that the conditions for its use are more favorable in Arbitration than in a Judicial setting.
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Italian National Report on the Use of the UPICC in Order to Interpret or Supplement National Contraritable gap. For said purpose, the authors provide an analysis of several Court decisions that used the UPICC. Following, the authors compare the UPICC with Italian law, concluding that almost all selected provisions of the UPICC do have a counterpart in Italian law and highlighting convergences and divergences.
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The UNIDROIT Principles as a Common Frame of Reference for the Uniform Interpretation of National Lly the “Principles”) suggests many potential uses. However, almost half of the known judicial decisions and arbitral awards referring to the Principles invoke them for the purpose of supporting or providing further legitimacy to a solution which is either dictated or at least suggested by some natio
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The Use of the UNIDROIT Principles of International Commercial Contracts in Order to Interpret or Sion and support on judicial decision. The recently into force Argentine Civil and Commercial Code mentions the Principles in the . regarding formation of contracts; agency, concession and franchise contracts and contract liability, and furthermore the inspiration on the Principles is not limited to
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