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The ICC Model Contract on Commercial Agency is for parties negotiating agency agreements abroad who face a major difficulty: the lack of uniform rules. There is no internationally agreed uniform legislation for agency agreements, and so parties have to rely on national laws. Not only do these laws differ from country to country, but they do not take into account the international nature of the contract.
Updated in 2015 to take into account recent developments in the law of agency, this model contract is not based on specific national laws; instead it incorporates the prevailing practice in international trade as well as the principles recognized by the domestic laws on agency. This model contract addresses questions of sales through the Internet, indemnity, arbitration and the principles of law generally applicable to agency contract (“lex mercatoria”).
It includes a USB key presenting the text of the contract in a user friendly and fully editable format, allowing you to adapt the contract to your specific needs.
The Model contract can be used time and time again. Concise and practical, the ICC Model Contract on Commercial Agency meets the needs of both individuals and companies exporting as well as lawyers.
The print version of the Model includes a USB key presenting the text of the contract in a user friendly and fully editable format, allowing you to adapt the contract to your specific needs.
If you purchase the digital version (eBook), instead of supplying a USB key we have included a link on the copyright page of the Model so you can download the word version directly and save and edit as needed.
|Code ISBN :||978-92-842-0345-1|
|Number of pages :||54|
|Publishing date :||2015|
|Format in cm :||21*29.7 / Paper version: USB key. EBook: link to the word version.|
1. A UNIFORM MODEL FORM FOR INTERNATIONAL TRADE
2. SCOPE OF APPLICATION
2.1. International agreements
2.2. Agent acting as reseller
2.3. Contracts with employed agents
2.4. Buying agents
2.5. “Service” agents
2.6. Consignment of the goods
2.7. Agency as primary activity
3. THE APPLICABLE LAW
4. ANTITRUST RULES AND AGENCY
5. SALES THROUGH THE INTERNET
6. PROVISIONS ON INDEMNITY
7. RESOLUTION OF DISPUTES: ADR, ARBITRATION, NATIONAL COURTS
7.2. Jurisdiction of national courts
8. PRECAUTIONS FOR USE OF THE MODEL FORM
9. MODEL FORM OF INTERNATIONAL AGENCY CONTRACT
Fabio Bortolotti (Italy) and by Professor Didier Ferrier (France).
The model benefited from the active participation of the following working group members: Horst Becker (Germany), Dragan Beljic (Serbia), Silvia Bortolotti (Italy), Madalena Caldeira (Portugal), José Maria Corrêa de Sampaio (Portugal), Andrej Friedl (Slovenia), Valle Garcia de Novales (Spain), Mariaelena Giorcelli (Italy), Bernhard Köck (Austria), Stephan Kranebitter (Austria), Galyah Natan-Epstein (Israel), Sven Petersen (Denmark), Christoph Martin Radtke (France), Olufunmilayo Ajike Roberts (Nigeria), Michael Svendsen (Denmark), Jaap van Till (Netherlands), Koen Vanheusden (Belgium), and Angelika Zoder (Austria) .
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