Construction Executive
In an article published in the July issue of Construction Executive, Gregg Jacobson provides guidance to contractors on how to obtain a stay pending another arbitration through a preliminary injunction or filing a motion to stay. Jacobson explains, “For either to succeed, one needs to show the court that allowing the first arbitration to take place before the second arbitration would waste time and resources, result in inconsistent awards, or result in independent and potentially contradictory legal conclusions.” Jacobson details the two options for staying an arbitration pending another arbitration, stating specific examples. For the full article, you may click here.