Does The CISG Put Too Much Emphasis On Promoting Performance Of The Contract? A Comparison With The English Law
The CISG was known as significant convention for international sale of goods and it’s widely accepted by most of
countries in the world. Interestingly, as the original contractual country the UK, didn’t ratify the CISG. This article tries to
make an attempt to clarify the preference of the CISG, and to search the different preference between the CISG and the
English law. The researches in this field were not uncommon in the international law, but this article will share the special
views at this permanent but practical significant issue. The article will focus on specific performance of the contract when
existing a breach by the seller.
Keywords- The CISG, specific performance, seller’s cure