Cardozo Journal of International and Comparative Law
Abstract
The note argues that Section 304 of the U.S. Bankruptcy Code is a critical mechanism for addressing cross-border insolvencies, particularly between the U.S. and Mexico, despite its limitations. It highlights the need for a unified approach, such as the UNCITRAL Model Law, to handle the complexities of global trade and investment effectively.
Disciplines
Bankruptcy Law | International Trade Law | Law
Recommended Citation
Andrea B. Sluchan,
Cross-Border Insolvencies, Section 304 and Reforming Mexican Insolvency Law,
9
Cardozo J. Int'l & Comp. L.
363
(2001).
Available at:
https://larc.cardozo.yu.edu/cjicl/vol9/iss2/6