This work successfully compares and contrasts the remedies available to an aggrieved party under the United Nations Convention on Contracts for the International Sale of Goods to the equivalent remedies in the Mexican law on sales. The book provides legal practitioners, academics, scholars and the judiciary with a better understanding of the applicability and implementation of the remedies of Specific Performance or Cumplimiento Forzoso, Damages or Daños y Perjuicios and Avoidance or Rescisión, available under the Convention and the Mexican law, respectively. It is of fundamental use when drafting contracts; determining a strategy when analyzing a case of breach of an international contract of sale; and deciding a dispute over a breach of a sales contract to which the CISG or Mexican law is applicable. In sum, this work is a precise tool to decide a legal strategy for those engaged in international trade.