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Construction of a System of Reciprocal Recognition of Civil Case Jurisdiction among China, Japan and ROK

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DOI: 10.4236/blr.2012.32007    6,216 Downloads   8,870 Views  
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ABSTRACT

The aim of the paper is to offer advice about setting on investigating feasibility of a legal system about the reciprocal recognition of civil case jurisdiction among East Asia region. The present conditions for the recognition of foreign jurisdiction in East Asia states are on the whole similar and this is an advantage for the construction of a unified mechanism. This paper gives three selected models of reciprocal recognition of civil case jurisdiction, which are bilateral judicial assistance treaty, regional multilateral treaties and soften the principle of reciprocity.

Conflicts of Interest

The authors declare no conflicts of interest.

Cite this paper

Y. Wu, "Construction of a System of Reciprocal Recognition of Civil Case Jurisdiction among China, Japan and ROK," Beijing Law Review, Vol. 3 No. 2, 2012, pp. 51-55. doi: 10.4236/blr.2012.32007.

References

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[6] A. Samuel, “The New Swiss Private International Law Act,” International and Comparative Law Quarterly, Vol. 37, No. 3, 1988, pp. 681-695. doi:10.1093/iclqaj/37.3.681

  
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