Case File
efta-02004897DOJ Data Set 10OtherEFTA02004897
Date
Unknown
Source
DOJ Data Set 10
Reference
efta-02004897
Pages
4
Persons
0
Integrity
Extracted Text (OCR)
EFTA DisclosureText extracted via OCR from the original document. May contain errors from the scanning process.
To:
Sultan Bin Sulaye
From:
Jeffrey epstein
Sent
Sun 12/4/2011 10:46:15 AM
George Mitchell is my very close friend and chairman of piper
Sent from my iPad
On Dec 4, 2011, at 4:28 AM, Sultan Bin Sulayem
wrote:
>>
>> If you have problems viewing this email, you can view it as a web page.
» <ATT00001..bin>
» LEGAL ALERT
>> DECEMBER 2011
>>
>> The DIFC Court "Goes Global"
>>
>> A recent development in Dubai's court system has expanded the scope of the
DIFC Courts' jurisdiction so that it is now available as an "opt in" jurisdiction
to all parties worldwide. This is a potentially significant development, which
could have a considerable impact on companies and individuals who are considering
appropriate dispute resolution mechanisms for contracts and disputes in the
Middle East.
>>
>> This development could lead companies to select the DIFC Courts to resolve
their disputes regardless of where they are in the world. we envisage that this
change will in particular have a significant impact on financial institutions
operating in the MENA region, among others, and as such we believe that this is a
development that all businesses, whether currently operational in the Middle East
or planning to expand into the region, should be aware of.
>>
>> What has happened?
>> We await publication of the legislation, but the DIFC Court has announced that
a decree has been promulgated which extends the scope of the jurisdiction of the
Courts of the Dubai International Financial Centre ("DIFC") so that parties
anywhere in the world can agree to refer their disputes to the DIFC Courts,
regardless of whether there is any connection between the subject matter of their
dispute and the DIFC. In other words, two or more contracting parties that have
no connection whatsoever with the DIFC can now choose to have their disputes
resolved before the DIFC Courts.
>> Why is this significant?
>>
>> This is a potentially game-changing event for dispute resolution in the Middle
East region because:
>> 1. The DIFC Court is a state-of-the-art common law court whose procedures are
based on the English civil procedure rules (with the ability to grant summary
judgment), and whose judges comprise very experienced former judges from the
senior courts of (for example) England, Singapore and New Zealand;
>>
>> 2. Judgments rendered by the DIFC Courts can be enforced in the onshore Dubai
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courts as Dubai court judgments and this has happened on numerous occasions;
>> 3. In contrast to many offshore courts, parties in the DIFC Court can be
awarded the bulk of their legal and expert costs and expenses;
>> 4. Dubai is signatory to two conventions providing for the recognition and
enforcement of court judgments in many countries in the MENA Region. These are:
>> the 1983 Convention on Judicial Co-operation between States of the Arab League
(the "Riyadh Convention"), to which all of the Gulf Cooperation Council ("GCC")
countries, as well as Iraq, Palestine, Sudan, Mauretania, Somalia, Tunisia,
Jordan, Morocco, Libya, Algeria, Yemen and Syria are signatory(1]; and
>> the 1995 Protocol on the Enforcement of Judgments Letters Rogatory, and
Judicial Notices issued by the Courts of the Member States of the Arab Gulf Co-
operation Council (the "GCC Protocol"), to which all of the GCC countries are
signatory.
>> Why should this interest you?
>>
» If your company conducts business in the above countries we encourage you to
speak with us to discuss the significance and implications of this new
legislation on your business and in particular, on your existing dispute
resolution policies. We believe that this development may be particularly
important for:
>>
» financial institutions with a presence in the MENA region, as the judges in
the DIFC Courts have experience of handling complex cross-border financial
disputes, and the power to grant summary judgment;
>> parties contracting with regional financial institutions;
>> businesses with a presence in the UAE and in the wider MENA region, which will
need to review their standard and bespoke contracts in light of this development;
and
» clients with an existing business, or planning to do business, in the Kingdom
of Saudi Arabia since this development may present an alternative option for
dispute resolution in contracts involving the Kingdom of Saudi Arabia.
>> How can we help?
» The DLA Piper dispute resolution team in Dubai is one of the leading dispute
practices in the region. The Dubai team has considerable experience with DIFC
laws and the DIFC courts and is well-equipped to provide you with valuable advice
in relation to the implications of this new legislation on your business and, in
particular, your existing dispute resolution policies. In this regard, we can:
>>
» come and present to you on this new development, and on dispute resolution
options in the region more generally;
>> conduct a review and analysis of your standard contracts and existing dispute
resolution policies;
>> draft such a policy and/or standard contract and/or bespoke dispute resolution
clause where none exists; and
» advise on options and strategies for opting into the DIFC courts' jurisdiction
for both existing and future contracts.
» We strongly encourage you to contact us and discuss how you can take full
advantage of this new development in dispute resolution in the Middle East.
>>
>> For further information, please contact:
>>
>>
>>
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»
»
» Jim Delkousis
» Litigation & Regulatory Practice Group Head
»
»
»
»
»
»
»
»
» Henry Quinlan
»
r
»
»
»
»
»
»
>> (11 We have not seen the domestic implementing legislation for each of these
countries at the time of publication.
>>
>>
»
>> USEFUL INFORMATION
»
» KEY CONTACTS
»
>> ENQUIRIES
>>
»
» For more information on DLA Piper
>> in the Middle East and our practices
» throughout the region,
» please click here.
>>
»
»
>> Jim Delkousis - Litigation a Regulatory Practice Group Head
»
» Henry Quinlan - Partner
»
»
»
>> We are keen to develop and improve our legal updates, so please click here to
send us any suggestions or comments.
»
>> If you wish to review the updates that you currently subscribe to then please
click here.
>> If you have been sent this bulletin from a colleague and would like to be
added to the mailing list, please click here to register.
»
>>
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EFTA02004899
» IMPORTANT NOTE TO RECIPIENTS: We may supply your personal data to other
members of DLA Piper (which may be situated outside the European Economic Area (
"EEA")) so that we or they may contact you with information about legal services
and events offered by us or them subject to your consent.
>> It is our policy not to pass any of your personal data outside of the DLA
Piper or use your personal data for any purposes other than those indicated
above.
>>
>> This email is from DLA Piper Middle East.
>>
» This publication is intended as a general overview and discussion of the
subjects dealt with. It is not intended to be, and should not be used as, a
substitute for taking legal advice in any specific situation. DLA Piper Middle
East will accept no responsibility for any actions taken or not taken on the
basis of this publication.
>>
>> Please note that DLA Piper Middle East does not accept responsibility for
viruses and it is your responsibility to scan or otherwise check this email and
any attachments.
>>
• DLA Piper Middle East LLP is part of DLA Piper, a global law firm, operating
through various separate and distinct legal entities.
>>
» For further information, please refer to www.dlapiper.com/middleeast
>>
>>
>> If you no longer wish to receive information from the UAE or any of the DLA
Piper members by e-mail please click here.
> NOTE: This e-mail message is subject to the Dubai World Group disclaimer see
http://www.dubaiworld.ae/email_disclaimer
EFTA_R1_00503445
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Related Documents (6)
DOJ Data Set 10CorrespondenceUnknown
EFTA Document EFTA02038436
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DOJ Data Set 10CorrespondenceUnknown
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