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| An Italian seller and a Swiss buyer concluded a contract for the sale of goods. A dispute arose between the parties.
The Court decided that CISG was not applicable since international sale contracts to which, pursuant to the international private law rules, Italian law applies, are governed by the 1964 Hague Convention relating to a Uniform Law on the International Sale of Goods (ULIS) if concluded before 1988 (date of entry into force of CISG in Italy). |