The Enforcement of Arbitral Awards under the Reciprocal Enforcement of Commonwealth Judgments Act 1921 in Singapore: An Enforcement Regime that Undermines the New York Convention?
Arbitration’s key strength lies in the near-universal enforcement of its arbitral awards. The 1958 Convention on the Recognition and Enforcement of Foreign Arbitral Awards (“New York Convention”) offers parties the benefit of going under a uniform enforcement regime in all of its Contracting States. But whilst it is a popular choice, the New York Convention…