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As the 31 December 2020 rapidly approaches, marking the end of
the transition period for the UK s departure from the European
Union (EU), we look at some of the issues around choice of law and
jurisdiction clauses for commercial parties contracting with
entities in EU member states.
When considering choice of law and jurisdiction clauses you are
looking at the law that is going to govern a contract and the
jurisdiction for disputes, ie which courts are entitled to hear a
dispute and, most importantly, considerations around the effective