Part I. 1. 2. Part II. 3. 4. 5. 6. 7. Part III. 8. 9. 10. 11. Part IV. 12. Introduction
Electronic consumer contracts in private international law
The definition and scope of the book
Jurisdiction
Jurisdiction in electronic consumer contracts (1) the rule-based approach in the Brussels I regulation
Jurisdiction in electronic consumer contracts (2) the discretion-based approach in English common law
Jurisdiction in electronic consumer contracts (3) critical assessment of US innovations
Electronic consumer contracts with choice of forum clauses
Online dispute resolution for electronic consumer contracts
Choice of law
Protective choice of law in e-consumer contracts in the current European choice of law regime
Choice of law evolution in the Rome I regulation
Neutral choice of law in e-consumer contracts
Choice of law in areas with harmonised substantive law
Conclusion
Proposals for conflict of laws in electronic consumer contracts.