HIGHLIGHTS
SUMMARY
The theory of legal systems seeks to simplify comparative law by categorising several states into one legal style according to their historical development, legal style, legal institutions and sources of law, and thus into one legal system - such as Roman, German, Anglo-American, or Nordic. De Cruz Comparative Law in a Changing World 236-239; Michaels "Functional Method of Comparative Law" 345, 351, 386-387. The legal differences between the common law and civil law in the field of contract law are considerable: There is no general principle of good faith under Anglo-American . . .
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