The Interaction of Contract Law and Tort and Property Law in Europe: A Comparative StudyWalter de Gruyter, 2009. gada 27. apr. - 573 lappuses Against the background of the creation of an EU-wide frame of reference for private law relevant to the Common Market, this study, which was requested by the EU Commission, analyses the dovetailing between contract and tort law on the one hand, and between contract and property law on the other. The study examines the legal orders of almost all the Member States of the EU, illustrates the differences between contractual and non-contractual liability and evaluates the different systems of the transfer of property, of movable and immovable securities as well as trust law. The study comes to the conclusion that the intensive considerations on the creation of a model-law in the area of European private law do not allow these thoughts to be limited to contract law. Such a limitation to the scope of the regarding of this area would probably cause more problems than it would solve, or at any rate not do justice to the needs of the Common Market. |
No grāmatas satura
1.–5. rezultāts no 69.
... Scotland (b) Contract law 103. General 104. France and Belgium 105. Italy 106. Spain 107. Portugal 108. Germany, Greece, Austria 109. Sweden 110. England and Wales 111. Scotland 112. Remoteness and causation (3.) Loss of Chance 113 ...
... Scotland Personal injury actions Tort law France and Belgium Italy Spain Portugal Germany Contract law France and Belgium Italy Spain Portugal Germany Sweden Obstacles to the smooth running of the internal market The Problem of ...
... Scotland 258 258 259 259 260 260 261 261 262 262 263 263 267 269 273 273 274 274 275 275 275 276 276 276 277 V. 277 277 278 278 278 280 280 283 283 283 283 287 289 292 295 229 (2.) 357. 358. 359. (3.) (a) 360. (b) 361. 362. XVIII Table ...
... Scotland, and England and Wales 317 470. Broad concept of “assets”: the Netherlands 319 471. Conclusion 320 (2.) Characteristics of Property Law as Distinct from Contract Law 472. Introductory remark 320 320 473. Is there a mandatory ...
... Scotland 587. 'Self-help' structures in other jurisdictions (c) Appointment of trustees resident abroad 588. Reasons for transfer to trustees abroad 589. Common law: basic stance on appointment of foreign trustees 384 384 385 386 386 ...
Saturs
1 | |
25 | |
Property Law and Contract Law | 317 |
Issues Common to Parts One and Two | 399 |
Information from Legal and Business Practice | 431 |
Analysis and Recommendations | 457 |
Backmatter | 471 |
Citi izdevumi - Skatīt visu
The Interaction of Contract Law and Tort and Property Law in Europe: A ... Christian von Bar,Ulrich Drobnig,Guido Alpa Ierobežota priekšskatīšana - 2004 |