ABSTRACT

This book is about seeking solutions to China’s interregional cross-border insolvency cooperation. Those solutions are developed mainly on the basis of two groups of comparative studies, including comparison among the cross-border insolvency systems of the four independent jurisdictions in China and comparison between the EU Insolvency Regulation and the UNCITRAL Model Law. In the end, it tentatively provides 10 original recommendations, accompanied with comments, which are entitled “China’s Inter-Regional Cross-border Insolvency Arrangement” (“CICIA”).