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Colonial legal system
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Ebook Challenges of globalization: Imbalances and growth – Part 2 presents the following content: Chapter 5 sustainable adjustment of global imbalances; chapter 6 meeting the china challenge is meeting the challenge of comprehensive engagement and multilateralism; chapter 7 institutional systems and economic growth; chapter 8 impact of “legal school” versus recent colonial origin on economic growth; chapter 9 does the European union emulate the positive features of the East Asian model? chapter 10 eight potential roadblocks to smooth EU-China economic relations.
178p
haojiubujain01
06-06-2023
3
1
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This article is intended to explain why precedents appear in the Socialist Law countries such as Vietnam and compare precedents in Vietnam with those in other legal systems, thereby addressing the possibility of referring to foreign precedents in Vietnam as one direction of development for Vietnamese precedents in the future.
14p
vizhangyiming
14-12-2021
21
1
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A few years ago, I read a lengthy article in a prominent law journal about the constitutional power to declare war. The article ably presented opposing views regarding the enduring debate between those who argue for congressional pre-eminence over war-related decisions and those who believe that the president possesses great war-making discretion. But, the author offered a startling categorical finding that he said “all scholars have missed”: namely, that “the Founders denied the President a veto over congressional decisions to wage war. . . ....
207p
japet75
25-02-2013
38
4
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Charity Law & Social Policy explores contemporary law, policy and practice in a range of modern common law nations. It does so from the perspective of how this has evolved in the UK. As progenitor of a system bequeathed to its colonies and after centuries of leadership in developing the core principles, policies and precedents, the jurisdiction of England & Wales has been and remains central to charity law as a common law phenomenon.
623p
hyperion75
15-01-2013
69
10
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It focuses on those attributes of American law that are likely to be least familiar to jurists from other legal traditions such as American common law, the federal structure of the U.S. legal system, and the American constitutional tradition. The use of comparative law technique permits foreign jurists to appreciate the American legal system in comparison with legal systems with which they are already familiar.
343p
contentnew
10-05-2012
161
51
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