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Utgave 535/2020
Cargo damage – road or vessel liability rules?
Jurisdiction to impose national wage and working conditions on board foreign-flagged ships
Ship recycling regulation under international and EU law
Cruise ships in Greenlandic waters
Faulty Material & Error in Design
Choice of law versus scope of application – the Rome I Regulation and the Hague-Visby Rules contrasted
SIMPLY 2019
Cargo damage – road or vessel liability rules?
Jurisdiction to impose national wage and working conditions on board foreign-flagged ships
Ship recycling regulation under international and EU law
Cruise ships in Greenlandic waters
Faulty Material & Error in Design
Choice of law versus scope of application – the Rome I Regulation and the Hague-Visby Rules contrasted
1. Introduction
2. The Hague-Visby Rules and their national implementation
3 Rome I – its main rule of party autonomy and exceptions to it
4. Different views taken on Rome I by Sweden and Norway
5 Concluding observations
5.1 International instruments and ‘clash’ of perspectives
5.2 National law and a ‘second order’ clash of perspectives
5.3 Legal sources determining choice of law – their influence on terminology
5.4 Incompleteness of choice of law regimes and effect on ‘legal efficacy’
5.5 Do choice of law instruments contain elements of substantive law?
5.6 Does the primacy of party autonomy of Rome I constitute ‘substantive’ law?
5.7 Theories of norm and collision between norms
Publiseringspolitikk
5 Concluding observations
535/2020
5 Concluding observations
Forrige
4.3 Norway
Neste
5.1 International instruments and ‘clash’ of perspectives