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INTERNATIONAL BUSINESS LAW Stéphanie Daval

INTERNATIONAL BUSINESS LAW Stéphanie Daval. COMPARISON AND CLASSIFICATION OF THE VARIOUS EXISTING LAW SYSTEMS. SUMMARY. INTRODUCTION THE FIVE DIFFERENT SYSTEMS The civil l aw The c ommon l aw The customary l aw The m uslim l aw The mixed systems l aw

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INTERNATIONAL BUSINESS LAW Stéphanie Daval

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  1. INTERNATIONAL BUSINESS LAWStéphanie Daval COMPARISON AND CLASSIFICATION OF THE VARIOUS EXISTING LAW SYSTEMS

  2. SUMMARY • INTRODUCTION • THE FIVE DIFFERENT SYSTEMS • The civil law • The common law • The customary law • The muslim law • The mixed systems law • EXPLAIN AND COMPARISON OF THESE SYSTEMS • EXAMPLE

  3. INTRODUCTION • Comparative law is the study of differences and similarities between the law of different countries • It includes the description and analysis of foreign legal systems, even where no explicit comparison is undertaken • Increase of its importance due to economic globalization and democratization

  4. THE FIVE DIFFERENT SYSTEMS 1/3

  5. THE FIVE DIFFERENT SYSTEMS 2/3 • The civil law: • Roman legal heritage with an addition to other sources • Precedence to written law • Systematic codification • The common law: • Traditional, precedent-based element in the law of any common-law jurisdiction, and also to signify that part of the legal system that did not develop out of other special branches of practice • Great Britain • Commonwealth • Canada (except Québec ; mixed Law), United States (except Louisiana, California and Porto Rico) • In general in the countries colonized by England (Common Wealth)

  6. THE FIVE DIFFERENT SYSTEMS 3/3 • The customary law: • Born of concrete daily experience or more intellectually based on great spiritual or philosophical traditions • The muslim law: • Autonomous legal system which is actually religious in nature and predominantly based on the Koran • Sharia is the body of Islamic law • The mixed system law: • Category including political entities where two or more systems apply cumulatively or interactively, but also entities where there is a juxtaposition of systems

  7. EXAMPLE • HOW THE MARRIAGE FACILITATES THE ACCESS TO NATIONALITY IN SEVEN COUNTRIES? • Germany, Denmark, Spain, Italy, Netherlands, Portugal and United Kingdom • France • According to the article 21-1 of the civil code, “the marriage does not exert automatically any effect on nationality” • Comparison of the legislations • In Germany, Italy and Portugal, the foreigners married to nationals can prevail themselves of the right to obtain the nationality of their spouse • Denmark, Spain, Netherlands and United Kingdom, the foreigners married to nationals can only claim with naturalization faster than the other foreigners.

  8. END THANK YOU FOR YOUR ATTENTION

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