ICSID Awards Before US and German Courts: A Comparative Approach
Posted: 10 Aug 2017
Date Written: August 9, 2017
This paper is purported to offer a comparative approach to the procedural mechanisms by which the enforcement provisions of the ICSID Convention have been implemented under the legal systems of the United States and Germany. The comparative analysis will take into account the procedural provisions by the enforcement of ICSID awards is governed in both countries, as well as relevant case law and legal scholarship.
Keywords: Investment Arbitration; ICSID; Awards Enforcement; United States; Germany
JEL Classification: K40
Suggested Citation: Suggested Citation