This article examines the issue of the implementation of arbitral awards as a very important point to all investors. After breaching items of the contract and the occurrence of the dispute, the disputants offer the dispute to the arbitral award. The issuance of the arbitral awards reaches implementation stage, as a point of interest to investors, in particular, more than the host state. In this paper we discuss the implementation of arbitral awards in investment dispute in international law according to the most useful conventions, namely Washington Convention and New York Convention, and in Moroccan law as a case of study.

The Enforcement of Investment Arbitral Awards under International Law and Moroccan Law

This article examines the issue of the implementation of arbitral awards as a very important point to all investors. After breaching items of the contract and the occurrence of the dispute, the disputants offer the dispute to the arbitral award. The issuance of the arbitral awards reaches implementation stage, as a point of interest to investors, in particular, more than the host state. In this paper we discuss the implementation of arbitral awards in investment dispute in international law according to the most useful conventions, namely Washington Convention and New York Convention, and in Moroccan law as a case of study.