"It stands alone in its field not only due to its comprehensive coverage, but also its original methodology." - American Journal of Comparative Law (review of the 1st edition)
Volume 3 of this new edition deals with the transnationalisation of contract law. It compares common law and civil law concepts, noting the origin of the one in commercial law and of the other in consumer law, and identifies the different attitudes to protection, risk management, and risk distribution.
The volume also explores future directions in international commerce and finance, as well as the potential, effects, and challenges of e-commerce, blockchain, and the emergence of the smart contract.
This magisterial work is made up of 6 volumes. Used independently, each volume allows the reader to delve into a particular topic. Alternatively, all volumes can be read together for a comprehensive overview of transnational comparative commercial, financial and trade law.
Auflage
Sprache
Verlagsort
Verlagsgruppe
Bloomsbury Publishing PLC
Zielgruppe
Für Beruf und Forschung
Für höhere Schule und Studium
Produkt-Hinweis
Fadenheftung
Gewebe-Einband
mit Schutzumschlag
Maße
Höhe: 244 mm
Breite: 169 mm
Dicke: 25 mm
Gewicht
ISBN-13
978-1-5099-7812-0 (9781509978120)
Copyright in bibliographic data and cover images is held by Nielsen Book Services Limited or by the publishers or by their respective licensors: all rights reserved.
Schweitzer Klassifikation
Jan H Dalhuisen is Professor of Law at King's College London, UK, and Chair in Transnational Financial Law at the Catholic University of Portugal in Lisbon.
Autor*in
King's College London, UK
Part 1: General
1. Introduction
2. Formation of Contracts in Civil and Common Law
3. The Normative Interpretation Technique in Practice: The Civil Law Notion of Good Faith, the Common Law Alternatives, Liberal Interpretation and the Role of Other Sources of Private Law
4. Performance of the Contract, Defences, Default, Excuses, Termination
5. Privity of Contract
6. The UNIDROIT and European Principles of Contract Law. The Vienna Convention and UCC Compared. The Draft Common Frame of Reference in the EU and the Draft EU Regulation on a Common European Sales Law
Part 2: Contracts for the International Sale of Goods
1. The Main Aspects of the International Sale of Goods
2. Ancillary Arrangements in International Sales. The Role of Intermediaries and Documents
3. The Uniform International Sales Laws. The Vienna Convention or CISG
Part 3: Contractual Agency
1. The General Notion of Agency
2. International Aspects of Agency