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Трансграничный оборот судебных решений в свете проекта новой глобальной конвенции
The article is devoted to the draft Convention on the recognition and enforcement of foreign judgments in civil or
commercial matters, developed by the Hague Conference on Private International Law. The article analyses the creation and architecture of the Convention, its scope and the concept of indirect international jurisdiction, which implies verification of the competence of the foreign court that issued the judgment. The problem of jurisdictional gap between direct and indirect international jurisdiction is considered. The author supposes that legal systems will be increasingly influenced by two key trends: on the one hand, uniformity and simplification of the cross-border foreign judgments circulation, and the diversification of recognition and enforcement of judgments in different categories of cases, on the other. The article draws parallels with Russian judicial
practice.