Introduction. Jurisdiction in electronic contracting. EU rules applied in cyber jurisdiction. US jurisdiction tests employed in e-contracting disputes. Chinese legislation on jurisdiction. Choice of law in electronic contracting. EU internet choice of law regime. US internet choice of law rules. Chinese internet choice of law approaches. Alternative dispute resolution and the internet. The legal obstacles and solutions to online arbitration and online mediation. Conclusion and recommendation.
Bibliography, etc. Note
Includes bibliographical references (pages 241-250) and index.
Formatted Contents Note
1. Introduction; 2. Jurisdiction in electronic contracting; 3. EU rules applied in cyber jurisdiction; 4. US jurisdiction tests employed in e-contracting disputes; 5. Chinese legislation on jurisdiction; 6. Choice of law in electronic contracting; 7. EU internet choice of law regime; 8. US internet choice of law rules; 9. Chinese internet choice of law approaches; 10. Alternative dispute resolution and the internet; 11. The legal obstacles and solutions to online arbitration and online mediation; 12. Conclusion and recommendation.
Introduction Jurisdiction in electronic contracting EU rules applied in cyber jurisdiction US jurisdiction tests employed in e-contracting disputes Chinese legislation on jurisdiction Choice of law in electronic contracting EU internet choice of law regime US internet choice of law rules Chinese internet choice of law approaches Alternative dispute resolution and the internet The legal obstacles and solutions to online arbitration and online mediation Conclusion and recommendation.