355.00RON
ISBN: 978-0-521-68185-8
Autor:
James Gordley University of California, Berkeley Arthur Taylor von Mehren Harvard University, Massachusetts
Editura:
Cambridge University Press
Price: 355.00RON
This collection of readings sets out the two fundamental distinctions between common and civil law, namely that the former originated in the English courts, the latter in the Roman legal tradition, and that the common law is based on judicial decisions whereas codes form the basis of modern civil law.
The core of book consists of cases, statutes and code provisions shaping the doctrines central to the law of property, tort, contract and unjust enrichment in the United States, England, France and Germany. These materials provide a road map of the law of each, allowing the reader to consider how doctrines differ, how these differences emerged, and whether the underlying problems and solutions are common to all. They also allow for comparison to be made between the approaches of common and civil law, and to consider the extent to which they depend on the origin and nature of the law.
• Extensive collection of readings on the foundations of private law from a comparative perspective edited by a leading expert in the field
• Explores differences between the common law and civil law jurisdiction with examples from the legal systems of England and the United States, France and Germany,
• Comprehensive introduction sets the material in context with reference to the subject’s most recent developments, notably those in the law of the European Union