non, je ne regrette rien: pre & post nups: english, french

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PAYNE HICKS BEACH LLP 10 New Square, Lincoln's Inn, London WC2A 3QG Telephone: +44 (0)20 7465 4300 Fax : +44 (0) 7465 4400 DX 40 London/Chancery Lane Payne Hicks Beach LLP www.phb.co.uk Non, Je Ne Regrette Rien: Pre & Post Nups: English, French & US 30 June 2021 Payne Hicks Beach’s Emilie Helm, dual French and English national and specialist French Anglo family lawyer, is speaking at the ThoughtLeaders4 HNW Divorce 'Non, Je Ne Regrette Rien....Tips & Tricks for International Pre & Post Nups: A Comparative English, French & US Perspective' webinar on 13 July 2021. A unique event summarising the approaches in England, France and the US. Topics include: Should the spouses sign a document before the marriage? Situation by default in the absence of a pre-nup in your respective jurisdiction – what are generally the financial consequences by default in the event of a divorce in your jurisdiction? If parties decide to sign a pre-nup, which legal weight is given by the Courts to such document? Is it binding in your respective jurisdiction? Should the parties sign a US prenuptial agreement, a French marriage contract or a UK prenuptial agreement? Should the parties sign a document in each country? Possibility in your jurisdiction to sign one document per country? If choice is made to select one jurisdiction and to make it work in other jurisdictions, which factors do you refer to choose this “main” jurisdiction? Assuming that the choice has been made to enter into a foreign pre-nup (whether it is a pre-nup or post-nup), how to ensure recognition in your jurisdiction? Which rules of form for the signing of pre-nups and post-nups in your jurisdiction? Which provisions to include in the foreign pre-nup or post-nup to ensure recognition in your jurisdiction? Which provisions are typically included? Only rules relating to the division of assets in the event of death or divorce or anticipation of all the financial consequences of the divorce? Which provisions from a foreign pre-nup or post-nup may not work in your respective jurisdiction?

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PAYNE HICKS BEACH LLP10 New Square, Lincoln's Inn, London WC2A 3QG

Telephone: +44 (0)20 7465 4300Fax : +44 (0) 7465 4400

DX 40 London/Chancery Lane

Payne Hicks Beach LLP www.phb.co.uk

Non, Je Ne Regrette Rien: Pre & Post Nups: English, French & US

30 June 2021

Payne Hicks Beach’s Emilie Helm, dual French and English national and specialist French Anglo family lawyer, is speaking at the ThoughtLeaders4 HNW Divorce 'Non, Je Ne Regrette Rien....Tips & Tricks for International Pre & Post Nups: A Comparative English, French & US Perspective' webinar on 13 July 2021. 

A unique event summarising the approaches in England, France and the US. 

Topics include:

Should the spouses sign a document before the marriage?

Situation by default in the absence of a pre-nup in your respective jurisdiction – what are generally the financial consequences by default in the event of a divorce in your jurisdiction?

If parties decide to sign a pre-nup, which legal weight is given by the Courts to such document? Is it binding in your respective jurisdiction?

Should the parties sign a US prenuptial agreement, a French marriage contract or a UK prenuptial agreement? Should the parties sign a document in each country?

Possibility in your jurisdiction to sign one document per country?

If choice is made to select one jurisdiction and to make it work in other jurisdictions, which factors do you refer to choose this “main” jurisdiction?

Assuming that the choice has been made to enter into a foreign pre-nup (whether it is a pre-nup or post-nup), how to ensure recognition in your jurisdiction?

Which rules of form for the signing of pre-nups and post-nups in your jurisdiction?

Which provisions to include in the foreign pre-nup or post-nup to ensure recognition in your jurisdiction?

Which provisions are typically included? Only rules relating to the division of assets in the event of death or divorce or anticipation of all the financial consequences of the divorce?

Which provisions from a foreign pre-nup or post-nup may not work in your respective jurisdiction?

PAYNE HICKS BEACH LLP10 New Square, Lincoln's Inn, London WC2A 3QG

Telephone: +44 (0)20 7465 4300Fax : +44 (0) 7465 4400

DX 40 London/Chancery Lane

Payne Hicks Beach LLP www.phb.co.uk

The speakers who will provide an English, French an US perspective include:

Emilie Helm of Payne Hicks Beach, Delphine Eskenazi of Libra Advocats and Gretchen Beall Schumann of Rabin Schumann & Partners LLP

To book your place on the ThoughtLeaders4 HNW Divorce 'Non, Je Ne Regrette Rien....Tips & Tricks for International Pre & Post Nups: A Comparative English, French & US Perspective' webinar on 13 July 2021 from 6.00 pm 7.00 pm (UK time) click here 

 

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