Was the tender process, where the commercial criteria were based on a submission of direct fee percentages, flawed? For details of the remedies proposed by the court see Issue 103. Click to download PDF
English courts refuse bribery-based application to set aside Dubai arbitration award
If you have obtained a judgment or arbitral award outside England and Wales, you may wish to enforce it in England or Wales because your debtor is located or has assets here. If so, it is positive to know that English courts do not tread lightly regarding requests to set aside orders enforcing foreign arbitral awards.