Copyright ⓒ 2016 Yulchon LLC. All Rights Reserved. Practical Barriers to Enforcement of Arbitral Awards Presented by Sae Youn Kim, Yulchon LLC April 8,

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Copyright ⓒ 2016 Yulchon LLC. All Rights Reserved. Practical Barriers to Enforcement of Arbitral Awards Presented by Sae Youn Kim, Yulchon LLC April 8, UNICTRAL Thailand Symposium Session: Judicial Approaches on the New York Convention

Contracting states to New York Convention 2

Enforcement Regime for Arbitral Awards in the Region 3 1. Upon resumption of sovereignty over Hong Kong on 1 July 1997, the Government of China extended the territorial application of the Convention to Hong Kong, Special Administrative Region of China, subject to the statement originally made by China upon accession to the Convention.

Unique Features in China, Indonesia, Vietnam 4 How to decide “foreign” arbitral awards Reporting system for refusal of recognition / enforcement Positive requirements for enforcement of awards Registration needed / exequatur from the Chief Judge of the District Court of Central Jakarta Under limited circumstances, court can set aside foreign awards Foreign awards “shall not be enforced” if reasons for refusal exist New Civil Proceedings Code – must cancel enforcement decisions if award is set aside in seat

Practical Difficulties in Enforcement – Time 5 Time limits provided in the law? Time can become problem even in arbitration friendly jurisdictions Time becomes a serious problem in certain jurisdictions

Practical Difficulties in Enforcement – court’s attitude 6 Different standards applied by lower courts Existence of ‘arbitration specialist court’? China’s trial of reporting system – pros and cons? The other side of the spectrum: should every award be enforced?

Practical Difficulties in Enforcement – party’s tactics 7 Use of multiple actions Use of ‘invisible tools’ to delay Use of ‘invisible tools’ to change conclusion Setting aside at the seat – effect on enforcement in other jurisdictions?

Thank you

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