Burford is among the 24 firms and individuals (and just one other finance firm) to have submitted comments on ICSID’s proposed rules amendments. In its submission, Burford addresses a range of topics raised by the proposed amendment, including this response to disclosure: “A review of practice in funded ICSID arbitrations suggests that an express rule requiring disclosures about the use of arbitration finance from claimants is unnecessary.”

Read the full comments.


Disclaimer

This section of Burford’s website is intended for the use of Burford’s public investors and is required to be provided under AIM Rule 26. Burford also maintains a separate private funds business. Information presented here is not intended for the use of private fund investors, nor is it presented in the appropriate form for such investors. Moreover, Burford does not present this information as a solicitation of private fund investment, which occurs only through appropriate offering documents.