Pearl Petroleum Company Limited & Others v The Kurdistan Regional Government of Iraq [2017] DIFC ARB 003 (20 August 2017)

Pearl Petroleum Company Limited & Others v The Kurdistan Regional Government of Iraq [2017] DIFC ARB 003 (20 August 2017)

The KRG expressly and unequivocally waived any claim to state or sovereign immunity, including immunity from execution, in the contract governed by English law. The DIFC Court has jurisdiction to recognise and enforce the arbitral awards. However, service of the enforcement order and related documents must comply...

Source-derived case information.

Citation
[2017] DIFC ARB 003
Parties
Claimant: Pearl Petroleum Company Limited; Claimant: Dana Gas PJSC; Claimant: Crescent Petroleum Company International Limited; Defendant: The Kurdistan Regional Government of Iraq
Jurisdiction
United Arab Emirates
Procedural Posture
Commercial Enforcement (arbitral Award Recognition) / Post Award Enforcement, Applications to Set Aside Ex Parte Orders and Challenge Jurisdiction
Outcome
Partial success for both parties: KRG's application to set aside alternative service granted; recognition and enforcement order remains but must be served under Riyadh Convention.
Legal Topics
Recognition and Enforcement of Arbitral Awards, Sovereign Immunity Waiver, Service of Process Under International Conventions, Jurisdiction of DIFC Courts, Contractual Waiver of Immunity
Arbitration International Law Civil Procedure State Immunity Recognition and Enforcement of Arbitral Awards Sovereign Immunity Waiver Service of Process Under International Conventions Jurisdiction of DIFC Courts +1 more

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Parties

Pearl Petroleum Company Limited

Claimant

Dana Gas PJSC

Claimant

Crescent Petroleum Company International Limited

Claimant

The Kurdistan Regional Government of Iraq

Defendant

Procedural Posture

Commercial Enforcement (arbitral Award Recognition) / Post Award Enforcement, Applications to Set Aside Ex Parte Orders and Challenge Jurisdiction

  1. 1 Whether the KRG is entitled to sovereign or state immunity from enforcement proceedings in the DIFC Courts
  2. 2 Whether service of enforcement orders could be effected by alternative means or only under the Riyadh Convention
  3. 3 Whether the DIFC Court has jurisdiction to enforce the arbitral awards against the KRG

Ratio Decidendi

The KRG expressly and unequivocally waived any claim to state or sovereign immunity, including immunity from execution, in the contract governed by English law. The DIFC Court has jurisdiction to recognise and enforce the arbitral awards. However, service of the enforcement order and related documents must comply with the mandatory requirements of the Riyadh Convention, which forms part of UAE law and is binding on the DIFC Courts. The ex parte order for alternative service was incompatible with these treaty obligations and must be set aside. The order for recognition and enforcement remains valid but must be served in accordance with the Riyadh Convention.

Court Disposition

Partial success for both parties: KRG's application to set aside alternative service granted; recognition and enforcement order remains but must be served under Riyadh Convention.

Orders

  • Order for alternative service of the recognition and enforcement order and application for disclosure set aside.
  • Order for recognition and enforcement of the arbitral awards remains in place, subject to valid service under the Riyadh Convention.