Geoff Brewer considers global claims
Series: Contract Journal ; 410(6349) 17 October 2001, 26(1)Publication details: 2001Subject(s): Summary: Considers the acceptance of global claims for delay and loss and/or expense with reference to "Mid-Glamorgan CC v J Devonald Williams". Illustrates that global claims guidance has not changed significantly since "Wharf Properties Ltd v Eric Cumine Associates" (1991), and highlights that while it is usually a requirement to prove the link between claim events and their impact on delay and disruption, the financial effects can occasionally be presented upon a global basis.| Item type | Current library | Call number | Copy number | Status | Barcode | |
|---|---|---|---|---|---|---|
| Journal article | London Journal article | ABS64619 (Browse shelf(Opens below)) | 1 | Available | 115441-1001 |
Considers the acceptance of global claims for delay and loss and/or expense with reference to "Mid-Glamorgan CC v J Devonald Williams". Illustrates that global claims guidance has not changed significantly since "Wharf Properties Ltd v Eric Cumine Associates" (1991), and highlights that while it is usually a requirement to prove the link between claim events and their impact on delay and disruption, the financial effects can occasionally be presented upon a global basis.