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PIL.OT / RESEARCH ARCHIVE

PIL.OT Archive

Research private international law developments by year, topic, legal field and author.

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property · cultural · assets
Academic publicationConflict of lawsSpain

Power of attorney authorized by foreign notaries and purchase of property located in Spain

The article states that a power of attorney executed abroad and used for the sale or acquisition of immovable property in Spain must be granted before a foreign notary carrying out functions similar to those of a Spanish notary.

Alfonso-Luis Calvo Caravaca, Javier Carrascosa González05 March 2020French
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succession
Academic publicationConflict of lawsSpain, United Kingdom, Malta

Succession of a British national resident in Spain: Renvoi, again, as a decisive element between freedom to make a will and the legitimate successory rights, typical of the Spanish Common Civil Law

Laura García Gutiérrez authored the academic publication “Succession of a British national resident in Spain: renvoi, again, as a decisive element between freedom to make a will and the legitimate successory rights, typical of the Spanish Common Civil Law” in CUADERNOS DE DERECHO TRANSNACIONAL,…

Laura García Gutiérrez01 October 2019French
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contracts · commerce
Academic publicationConflict of lawsTürkiye

The Concept of Habitual Place of Work and the Problem of Applying Article 27(3) of the Turkish PIL Code

Sariöz Büyükalp, Ipek authored the academic publication “The Concept of Habitual Place of Work and the Problem of Applying Article 27(3) of the Turkish PIL Code” in Hacettepe Hukuk Fakültesi Dergisi, Vol. 8 No.

Ipek Sarioz Buyukalp07 November 2018Turkish
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contracts · commerce
Academic publicationConflict of lawsIceland

The article examines which law applies to default interest on monetary obligations in international contracts and…

The article examines which law applies to default interest on monetary obligations in international contracts and foreign-currency claims.

Eyvindur G. Gunnarsson01 September 2017French
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property · cultural · assets
Academic publicationConflict of lawsTürkiye

This article by Sibel Özel and Kazim Çinar examines the scope of Article 25 of the Turkish PIL Code (MÖHUK) regarding…

This article by Sibel Özel and Kazim Çinar examines the scope of Article 25 of the Turkish PIL Code (MÖHUK) regarding the law applicable to contracts concerning immovables.

Sibel Özel · Kazım Çınar04 August 2017Turkish
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contracts · commerce
Academic publicationConflict of lawsEuropean Union

Internet Cases in EU Private International Law—Developing a Coherent Approach

Tobias Lutzi’s article in the International and Comparative Law Quarterly examines the problems internet communication poses for private international law’s reliance on geographical connecting factors from the perspective of EU private international law.

Tobias Lutzi15 June 2017English
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contracts · commerce
Academic publicationConflict of lawsTürkiye

The Gap in the Turkish Code of Private International Law and Civil Procedure (MÖHUK): Applicable Law to Names

Tarman, Zeynep Derya authored the academic publication “The Gap in the Turkish Code of Private International Law and Civil Procedure (MÖHUK): Applicable Law to Names” in Ankara Üniversitesi Hukuk Fakültesi Dergisi, Vol. 66 No.

Zeynep Derya Tarman01 June 2017Turkish
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contracts · commerce
Legal developmentConflict of lawsUnited States

USA ratifies the 2006 Hague Securities Convention, triggering its entry into force on 1 April 2017

USA ratifies the 2006 Hague Securities Convention, triggering its entry into force on 1 April 2017 on 2016-12-15 published the legal development “USA ratifies the 2006 Hague Securities Convention, triggering its entry into force on 1 April 2017”.

USA ratifies the 2006 Hague Securities Convention, triggering its entry into force on 1 April 201715 December 2016English
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arbitration · procedure
Academic publicationConflict of lawsTürkiye

An Examination of FIDIC Contract Conditions and the Exception Rule in Article 24(4) of the Turkish Code on Private International and Procedural Law in International Construction Contracts

Karaca, H.

H. Akif Karaca21 September 2016Turkish
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torts · liability
Academic publicationConflict of lawsTürkiye

Comparative Analysis of the Law Applicable to Non-Contractual Obligations Arising from Torts under Turkish Private International Law and the Rome II Regulation

Yilmaz, Gizem authored the academic publication “Comparative Analysis of the Law Applicable to Non-Contractual Obligations Arising from Torts under Turkish Private International Law and the Rome II Regulation” in Marmara Üniversitesi Hukuk Fakültesi Hukuk Araştirmalari Dergisi, Vol. 22 No.

Gizem Yılmaz13 July 2016Turkish
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contracts · commerce
Academic publicationConflict of lawsFrance

It was published in Revue critique de droit international privé and is recorded under DOI 10.3917/rcdip.162.0309

It was published in Revue critique de droit international privé and is recorded under DOI 10.3917/rcdip.162.0309.

Nicolas Nord01 April 2016French
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pil · methodology
Academic publicationConflict of lawsUnited Kingdom

Domicile of choice in English law: An Achilles heel?

Leon Trakman authored the academic publication “Domicile of choice in English law: an Achilles heel?” in Journal of Private International Law, published on 2015-05-04. The publication forms part of the private-international-law literature concerning England and Wales.

Leon Trakman04 May 2015English
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contracts · commerce
Academic publicationConflict of lawsFrance

Gwendoline Lardeux’s article examines the law applicable to contractual representation

Gwendoline Lardeux’s article examines the law applicable to contractual representation.

Gwendoline Lardeux01 July 2014French
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family · children · parentage
Academic publicationConflict of lawsFrance

Petra Hammje’s article in the Revue critique de droit international privé explains that the French law of 17 May 2013…

Petra Hammje’s article in the Revue critique de droit international privé explains that the French law of 17 May 2013 sought internationally to encourage unions between persons of the same sex through a conflict rule concerning the formation of the marital relationship and generous recognition of…

Petra Hammje01 October 2013French
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succession
Academic publicationConflict of lawsTürkiye

Determining the Law Applicable to Disputes Arising from Cheques with a Foreign Element in the Light of Recent Developments

Mesut Aygün’s article examines the law applicable to disputes arising from cheques with a foreign element and the current Turkish rules in this area.

Mesut Aygün01 September 2012Turkish
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pil · methodology
Academic publicationConflict of lawsFrance

Javier Carrascosa González’s article “Règle de conflit et théorie économique” was published in the Revue critique de…

Javier Carrascosa González’s article “Règle de conflit et théorie économique” was published in the Revue critique de droit international privé.

Javier Carrascosa González02 July 2012French
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contracts · commerce
Legal developmentConflict of lawsMoldova

Republic of Moldova accedes to 1961 Hague Form of Wills Convention

Republic of Moldova accedes to 1961 Hague Form of Wills Convention on 2011-08-11 published the legal development “Republic of Moldova accedes to 1961 Hague Form of Wills Convention”.

Republic of Moldova accedes to 1961 Hague Form of Wills Convention11 August 2011English
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contracts · commerce
Academic publicationConflict of lawsFrance

Pascal de Vareilles-Sommières’s article was published in Revue critique de droit international privé

Pascal de Vareilles-Sommières’s article was published in Revue critique de droit international privé.

Pascal de Vareilles-Sommières01 April 2011French
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contracts · commerce
Academic publicationConflict of lawsUnited Kingdom

Choice of Law Regarding the Voluntary Assignment of Contractual Obligations Under the Rome I Regulation

Trevor C Hartley’s article, published in the International and Comparative Law Quarterly, examines the voluntary assignment of contractual and non-contractual obligations under Article 14 of the Rome I Regulation.

Trevor C Hartley01 January 2011English
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pil · methodology
Academic publicationConflict of lawsUnited States

The Louisiana and Oregon Codifications of Choice-of-Law Rules in Context

The article examines the codifications of choice-of-law rules in Louisiana and Oregon in context.

James Nafziger01 January 2010English
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contracts · commerce
Academic publicationConflict of lawsEuropean Union

The article provides remarks on the law applicable to contractual obligations where the parties have made no choice of…

The article provides remarks on the law applicable to contractual obligations where the parties have made no choice of law, focusing on Article 4 of the Rome I Regulation.

Franco Ferrari01 January 2009Turkish
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torts · liability
Academic publicationConflict of lawsTürkiye

European Community Regulation on the Law Applicable to Non-Contractual Obligations (Rome II)

Zeynep Derya Tarman's article was published on 1 June 2008 in Ankara Üniversitesi Hukuk Fakültesi Dergisi, volume 57 issue 2.

Zeynep Derya Tarman01 June 2008Turkish
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pil · methodology
Academic publicationConflict of lawsUnited Kingdom

Ii. Regression and Reform in the Law of Domicile

Peter McEleavy’s article in the International and Comparative Law Quarterly records that, in the United Kingdom, the law of domicile has remained largely unchanged despite more than half a century of criticism, while other common law jurisdictions have enacted legislation to modernise the concept.

Peter McEleavy01 April 2007English
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