HIGHLIGHTS
- who: Legal Studies et al. from the Renmin University of China, China and Durham University, Durham, UK have published the article: Revisiting property transfer theory: English law and Chinese law compared, in the Journal: (JOURNAL) of 30/08/2000
- what: Just because the homeland of separation and abstraction is Germany does not mean that these two concepts cannot be borrowed as a useful tool for comparative property law research.
SUMMARY
In English law, Shogun Finance Ltd v Hudson6 attracted controversy as the distinction between the written contracts and face-to-face . . .
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