We use cookies to improve your website experience. To learn about our use of cookies and how you can manage your cookie settings, please see our Cookie Policy. By continuing to use the website, you consent to our use of cookies. Close

39 CROSS-BORDER INSOLVENCY

Reinsurance Practice and the Law

Chapter 39 CROSS-BORDER INSOLVENCY INTRODUCTION 39.1 In the preceding chapter we focused on the winding-up of an English registered company within the English jurisdiction. Not all companies in the marketplace are registered in England. Many are the trading branches of foreign corporations who may have assets, and perhaps creditors, within the English jurisdiction. The question arises as to how English law deals with the insolvency of the foreign company where a winding-up order is made in its home country.

The rest of this document is only available to i-law.com online subscribers.

If you are already a subscriber, please enter your details below to log in.

Enter your email address to log in as a user on your corporate account.
Remember me on this computer

Not yet an i-law subscriber?

Devices

Request a trial Find out more