Abstract
The argument of this paper is based on the fact that since the methods of enforcement of foreign arbitral awards are different from their counterparts which are provided for foreign judgements. The question arises as to whether foreign arbitral award merged into judgement will be enforced by methods of enforcement pertaining to foreign awards or those pertaining to foreign judgments in UAE.
Original language | English |
---|---|
Pages (from-to) | 41-48 |
Number of pages | 8 |
Journal | International Journal of Private Law |
Volume | 8 |
Issue number | 1 |
DOIs | |
Publication status | Published - Jan 1 2015 |
Keywords
- Arbitral award
- Foreign judgement
- Justice
- Law
- Legal theory
- Merger
- UAE
ASJC Scopus subject areas
- Law