A critical examination of the symmetry of Ethiopia’s bilateral investment treaties

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dc.contributor.advisor Abe, Oyeniyi
dc.contributor.postgraduate Tamiru, Yehualashet
dc.date.accessioned 2020-02-17T09:24:59Z
dc.date.available 2020-02-17T09:24:59Z
dc.date.created 2019
dc.date.issued 2019
dc.description Mini Dissertation (LLM)--University of Pretoria, 2019. en_ZA
dc.description.abstract After tearing down of colonization the new emerging countries, most of them are African countries, vow to enhance their economy. One of the mechanisms to jump- start the economy was through foreign direct investment (FDI). Foreign investors, though agree as to the high potential of least developed countries, were not comfortable with the then existing protection accorded to foreigners. Therefore, the two options left for them were either to pull back their investment or blindly invest with its all consequences. The latter option was neither feasible nor logical. As a result, developing countries and investors’ state began to conclude BITs to show their commitment to protect the investor and investment at large. The modern BITs are European in origin; the first one was signed between the Federal Republic of Germany and Pakistan on November 25, 1959.1 Ethiopia as one of the least developed countries concluded various BITs with different countries with the view to securing FDI. The close examination of BITs Ethiopia concluded, we could find both North-South BITs type, i.e. Ethiopia and developed countries like Germany and south- south BITs type i.e. Ethiopia with developing countries like Iran. In this study, an attempt is made to find out whether these BITs are symmetric, in terms of having balance terms and conditions of the treaty. The research found that the terms and conditions of BITs Ethiopia concluded are not favourable for the country and call for the review of those treaties. To put differently the country made a huge concession to please foreign investors, which ultimately defeat the whole essence of BITs. The broad definition, the standard of treatment, issue of expropriation and compensation, the guarantee of remittance and arbitration clause can be cited as an example. en_ZA
dc.description.availability Unrestricted en_ZA
dc.description.degree LLM en_ZA
dc.description.department Centre for Human Rights en_ZA
dc.description.sponsorship ABSA Bank. en_ZA
dc.identifier.citation Tamiru, Y 2019, A critical examination of the symmetry of Ethiopia’s bilateral investment treaties, LLM Mini Dissertation, University of Pretoria, Pretoria, viewed yymmdd <http://hdl.handle.net/2263/73343> en_ZA
dc.identifier.other D2019 en_ZA
dc.identifier.uri http://hdl.handle.net/2263/73343
dc.language.iso en en_ZA
dc.publisher University of Pretoria
dc.rights © 2019 University of Pretoria. All rights reserved. The copyright in this work vests in the University of Pretoria. No part of this work may be reproduced or transmitted in any form or by any means, without the prior written permission of the University of Pretoria.
dc.subject UCTD en_ZA
dc.subject Home state en_ZA
dc.subject Host state en_ZA
dc.subject Capital importing en_ZA
dc.subject Capital exporting en_ZA
dc.subject Investors and investment en_ZA
dc.subject Symmentry/balance of rights and obligations en_ZA
dc.subject Policy space en_ZA
dc.subject Foreign direct investment en_ZA
dc.subject Bilateral investment treaties en_ZA
dc.subject Minimum customary international law en_ZA
dc.subject Hull formula en_ZA
dc.subject Clavo doctrine en_ZA
dc.subject Expropriation and compensation en_ZA
dc.subject Standard of treatment en_ZA
dc.subject International arbitration en_ZA
dc.subject Ethopian's BITs en_ZA
dc.subject Indian model BIT en_ZA
dc.subject USA model BIT en_ZA
dc.subject Canada model BIT en_ZA
dc.subject SADC model BIT en_ZA
dc.subject African continental free trade area en_ZA
dc.subject Pan Africa investment agreement en_ZA
dc.title A critical examination of the symmetry of Ethiopia’s bilateral investment treaties en_ZA
dc.type Mini Dissertation en_ZA


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