The volume examines the growing importance of International Private Law rules in resolving cross-border disputes and considers which jurisdiction rules and choice of law should apply to such contracts.
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| Introduction: international private law and the dematerialisation of electronic consumer contracts | |
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| Electronic consumer contracts and international private law | |
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| The internet, electronic commerce and electronic consumer contracts | |
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| International private law rules for electronic consumer contracts; theoretical approaches | |
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| The development of European international private law rules for electronic consumer contracts | |
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Jurisdiction rules for electronic consumer contracts in the Brussels 1. Regulation | |
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| Application of United Kingdom jurisdiction rules to electronic consumer contracts | |
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Choice of law rules for electronic consumer contracts in the Rome 1. Regulation | |
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| Rules of personal jurisdiction for electronic consumer contracts in the United States | |
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| Adaptation of personal jurisdiction rules for electronic consumer contracts in the United States | |
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| Towards harmonised international private law rules for electronic consumer contracts | |
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| Appendices | |
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| Bibliography | |
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| Index | |