9.01 The SAA has, as far as recognition and enforcement are concerned, retained the distinction between foreign and Swedish arbitral awards. Recognition and enforcement of foreign awards are dealt with in sections 52–60 of the Swedish Arbitration Act (SAA), whereas enforcement of Swedish awards, ie awards rendered in Sweden, is governed by the Swedish Enforcement Code. This is different from the UNCITRAL Model Law, which deals with all awards rendered in international commercial arbitration in a uniform manner irrespective of where they were made.1 9.02 The SAA...
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