Beschreibung:
A comparison of the rules of internet jurisdiction, choice of law and dispute resolution in the EU, USA and China.
Part I: 1. Introduction; Part II. Jurisdiction: 2. Jurisdiction in electronic contracting; 3. EU rules applied in cyber jurisdiction; 4. US jurisdiction tests employed in e-contracting disputes; 5. Chinese legislation on jurisdiction; Part III. Choice of Law: 6. Choice of law in electronic contracting; 7. EU internet choice of law regime; 8. US internet choice of law rules; 9. China internet choice of law approaches; Part IV. Online Dispute Resolution: 10. Alternative dispute resolution and the internet; 11. The legal obstacles and solutions to online arbitration and online mediation; Part V. The Future: 12. Conclusion and recommendation.