Towards a Norwegian Codification of Choice-of-Law Rules

Q2 Social Sciences
Giuditta Cordero-Moss
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引用次数: 0

Abstract

This issue of Oslo Law Review publishes some of the papers that were presented at a conference I organised at the University of Oslo on May 3rd and 4th, 2018. The purpose of the conference was to ensure international state-of-the-art input to the on-going codification of Norwegian rules on the law applicable to contractual and tort obligations. The work originated in the mandate the Norwegian Ministry of Justice had given me to submit a proposal for a statute on the law applicable to obligations. The proposal was written, inter alia, taking into consideration the papers presented at the conference. The Ministry of Justice sent the proposal to public consultation. At the moment of writing this introduction, the public consultation is still on-going.1 Rules on the applicable law, also known as conflict rules or choice-of-law rules, are part of that branch of the law that goes under the name of Private International Law. They are rules that permit the identification of which law governs a certain legal relationship when the relationship has international elements. If a Norwegian party purchases some goods from Germany, for example, these rules determine whether the sale is governed by Norwegian or by German law. If a Greek ship causes environmental damage off the coast of Norway, they determine whether the liability is subject to Greek or Norwegian law. Conflict rules are, in brief, provisions that permit the determination of which law is applicable. In Norway, conflict rules have traditionally not been codified. Exceptions include the Act on the law applicable to contracts of sale, implementing the 1955 Hague Convention on the Law Applicable to International Sale of Goods, and certain provisions or special statutes implementing obligations under international law, such as the Product Liability Act, implementing the 1973 Hague Convention on the Law Applicable to Products Liability. Since Norway’s accession to the EEA Agreement in 1994, various conflict rules have been incorporated into Norwegian law as part of implementing legislative acts with EEA rele-
走向挪威法律选择规则的编纂
本期《奥斯陆法律评论》发表了我于2018年5月3日和4日在奥斯陆大学组织的一次会议上发表的一些论文。会议的目的是确保国际上对正在进行的挪威合同和侵权责任适用法律规则的编纂提供最先进的投入。这项工作源于挪威司法部授权我提交一份关于适用于义务的法律法规的提案。除其他外,该提案是在考虑到会议上提交的文件的情况下编写的。司法部将该提案提交公众咨询。在撰写本导言时,公众咨询仍在进行中。1关于适用法律的规则,也称为冲突规则或法律选择规则,是国际私法这一法律分支的一部分。它们是允许在某一法律关系具有国际因素时确定哪种法律管辖该关系的规则。例如,如果挪威一方从德国购买某些商品,这些规则将决定该销售是受挪威法律管辖还是受德国法律管辖。如果希腊船只在挪威海岸造成环境破坏,他们将确定责任是否受希腊或挪威法律管辖。简而言之,冲突规则是允许确定哪种法律适用的条款。在挪威,冲突规则传统上没有编纂成文。例外情况包括执行1955年《国际货物销售适用法律海牙公约》的《销售合同适用法律法》,以及执行国际法义务的某些条款或特别法规,如执行1973年《产品责任适用法律海牙公约》的《产品责任法》。自1994年挪威加入《欧洲经济区协定》以来,各种冲突规则已被纳入挪威法律,作为实施与欧洲经济区相关立法的一部分-
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来源期刊
Oslo Law Review
Oslo Law Review Social Sciences-Law
CiteScore
1.00
自引率
0.00%
发文量
5
审稿时长
16 weeks
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