Procedural History and Core Jurisdictional Issue
This judgment of the Court of First Instance of the Astana International Financial Centre (AIFC) addresses an application by Posco Co. Ltd. for the recognition and enforcement of a foreign arbitral award rendered by an ICC tribunal seated in Zurich, Switzerland. The application was brought against a Kazakh state-owned enterprise after the Claimant's prior attempts to enforce the award in the regular courts of Kazakhstan were unsuccessful.
The central legal question before the AIFC Court was whether it possessed the requisite subject-matter jurisdiction to hear an application for the enforcement of a foreign arbitral award where the arbitration was not conducted under the auspices of the AIFC International Arbitration Centre (AIAC) and where the parties had not otherwise agreed to the AIFC Court's jurisdiction.
The Court's Jurisdictional Analysis
The Court, presided over by Justice Sir Rupert Jackson, conducted a detailed analysis of the AIFC's foundational legal instrument, the Constitutional Statute. The Court first determined that Article 13.4 of the Statute, which exhaustively defines the AIFC Court's exclusive jurisdiction, did not apply. The dispute did not fall into any of the enumerated categories: it was not between AIFC participants, did not relate to activities conducted in the AIFC, and was not transferred to the Court by party agreement.
The Court then examined the Claimant's argument that Article 14.4 of the Statute conferred a broader jurisdiction to enforce all foreign awards. After considering the official Russian and Kazakh texts, the Court concluded that Article 14 must be interpreted in its proper context. As Article 14 is titled 'International Arbitration Centre' and its preceding sub-articles deal exclusively with the AIAC, the Court found that Article 14.4 could only refer to the enforcement of awards rendered in AIAC-administered arbitrations. The Court reasoned that it would be "bizarre in the extreme" to construe this provision as implicitly granting a new, worldwide enforcement jurisdiction that is absent from the primary jurisdictional provision in Article 13. The Court further held that subordinate AIFC regulations purporting to grant such jurisdiction were inconsistent with the Constitutional Statute and therefore ineffective.
In its reasoning, the Court explicitly departed from the conclusions in several prior AIFC Court decisions which had assumed jurisdiction in similar circumstances, holding that those cases were wrongly decided as the jurisdictional issue had not been fully argued.
Decision
The Court held that it lacked jurisdiction to adjudicate the Claimant's application for recognition and enforcement of the foreign arbitral award. Consequently, the Claimant's claim was dismissed.

