An English court has no jurisdiction to grant an anti-suit injunction to restrain a party from pursuing proceedings in a foreign court where the foreign proceedings were instituted in breach of a prior agreement between the parties to refer disputes between them to arbitration in England.
Critically examine this statement from the perspective of the common law and the Brussels I Regulation on Jurisdiction and the Recognition and Enforcement of Judgments in Civil and Commercial Matters. Use the attachments as reference.
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