Comparative Law in a Changing World

Сравнительное право в меняющемся мире
Peter De Cruz
2024-09-09

Europeanization of national legal systemscivil law jurisdictionscommon lawcomparative lawcomparative legal research methods
Providing a comprehensive and comparative analysis of the legal approach to key areas of law within different legal systems, this book offers a blueprint for comparative legal study by evaluating the current epistemological debate on comparative law and comparative legal research methods. Substantive law, the law of obligations, commercial and corporate law within the major legal systems of the world are all examined and compared. While France and Germany are generally used as the archetypal civil law jurisdictions and English law as the main common law comparator, this third edition also examines the Russian Federation in the post-Soviet era and socialist legal influences as well as non-Western legal traditions. Fully updated and revised to include all recent developments, this edition also includes a broad historical introduction and outlines changes in EC Law. It assesses the possibility of Europeanization of national legal systems and certain legal topics, the impact of the globalization of legal institutions and the evolving 'new world order' in the early twenty-first century. Written in a clear, user-friendly style, Comparative Law in a Changing World is an accessible source for undergraduates and postgraduates wishing to trace the influence of common law and civil law legal traditions on jurisdictions across the world.
1
It evaluates contemporary epistemological debates and research methods in comparative law, offering a framework for comparative legal study.
2
It examines Europeanization, globalization of legal institutions, EC Law developments, and the emerging early twenty-first-century world order.
3
The book provides a comprehensive comparative analysis of substantive, obligations, commercial, and corporate law across major legal systems.
4
The third edition expands comparison beyond France, Germany, and England to include post-Soviet Russia, socialist influences, and non-Western legal traditions.
5
The work explains how common-law and civil-law traditions influence legal jurisdictions worldwide and is designed for undergraduate and postgraduate study.

legal systems and legal traditions across the world, including civil law, common law, socialist, and non-Western systems

comparative analysis of legal approaches, legal research methods, historical development, Europeanization, and globalization of legal institutions

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2024-09-09
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Peter De Cruz
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