Author: David H. Kauffman
Publisher:
ISBN: 9782891278409
Category : Mechanics' liens
Languages : en
Pages : 699
Book Description
The Construction Hypothec
Author: David H. Kauffman
Publisher:
ISBN: 9782891278409
Category : Mechanics' liens
Languages : en
Pages : 699
Book Description
Publisher:
ISBN: 9782891278409
Category : Mechanics' liens
Languages : en
Pages : 699
Book Description
FIDIC Contracts in the Americas
Author: Donald Charrett
Publisher: Taylor & Francis
ISBN: 1000902463
Category : Law
Languages : en
Pages : 294
Book Description
FIDIC contracts are the most widely used contracts for international construction around the world and are used in many different jurisdictions, both common law and civil law. For any construction project, the General Conditions of Contract published by FIDIC may need to be supplemented by Particular Conditions that specify the specific requirements of that project and jurisdiction. FIDIC Contracts in the Americas: A Practical Guide to Application provides readers with an overview of the legal environment, the construction industry and features of contract law applying to construction contracts in a number of jurisdictions in the Americas. It provides detailed guidance for the preparation of the Particular Conditions for FIDIC contracts that will comply with the requirements of the applicable laws that apply to the site where the work is carried out, and for the governing law of the contract. This book also details the impact of COVID-19 on both the execution of construction projects and the operation of construction contracts in each jurisdiction. This book is essential reading for construction professionals, lawyers and students of construction law.
Publisher: Taylor & Francis
ISBN: 1000902463
Category : Law
Languages : en
Pages : 294
Book Description
FIDIC contracts are the most widely used contracts for international construction around the world and are used in many different jurisdictions, both common law and civil law. For any construction project, the General Conditions of Contract published by FIDIC may need to be supplemented by Particular Conditions that specify the specific requirements of that project and jurisdiction. FIDIC Contracts in the Americas: A Practical Guide to Application provides readers with an overview of the legal environment, the construction industry and features of contract law applying to construction contracts in a number of jurisdictions in the Americas. It provides detailed guidance for the preparation of the Particular Conditions for FIDIC contracts that will comply with the requirements of the applicable laws that apply to the site where the work is carried out, and for the governing law of the contract. This book also details the impact of COVID-19 on both the execution of construction projects and the operation of construction contracts in each jurisdiction. This book is essential reading for construction professionals, lawyers and students of construction law.
Dominion Law Reports
The Law of Hypothecs in Quebec
Author: Lazar Sarna
Publisher:
ISBN:
Category : Corporation law
Languages : en
Pages : 316
Book Description
Publisher:
ISBN:
Category : Corporation law
Languages : en
Pages : 316
Book Description
A Contribution to an English Translation of Voet's Commentary on the Pandects
Author: Johannes Voet
Publisher:
ISBN:
Category : Bailments
Languages : en
Pages : 584
Book Description
Publisher:
ISBN:
Category : Bailments
Languages : en
Pages : 584
Book Description
Civil Code of Québec
Author: Canada
Publisher: Aegitas
ISBN: 1772467561
Category : Law
Languages : en
Pages : 906
Book Description
The Civil Code of Quebec (CCQ, French: Code civil du Québec) is the civil code in force in the province of Quebec, Canada, which came into effect on January 1, 1994. It replaced the Civil Code of Lower Canada (French: Code civil du Bas-Canada) enacted by theLegislative Assembly of the Province of Canada in 1865, which had been in force since July 1, 1866.
Publisher: Aegitas
ISBN: 1772467561
Category : Law
Languages : en
Pages : 906
Book Description
The Civil Code of Quebec (CCQ, French: Code civil du Québec) is the civil code in force in the province of Quebec, Canada, which came into effect on January 1, 1994. It replaced the Civil Code of Lower Canada (French: Code civil du Bas-Canada) enacted by theLegislative Assembly of the Province of Canada in 1865, which had been in force since July 1, 1866.
Cases, Materials and Text on Property Law
Author: Sjef van Erp
Publisher: Bloomsbury Publishing
ISBN: 1847319823
Category : Law
Languages : en
Pages : 1252
Book Description
This casebook presents a deep comparative analysis of property law systems in Europe (ie the law of immovables, movables and claims), offering signposts and stepping stones for the reader wishing to explore this fascinating area. The subject matter is explained with careful attention given to its history, foundations, thought-patterns, underlying principles and basic concepts. The casebook focuses on uncovering differences and similarities between Europe's major legal systems: French, German, Dutch and English law are examined, while Austrian and Belgian law are also touched upon. The book combines excerpts from primary source materials (case law and legislation) and from doctrine and soft law. In doing so it presents a faithful picture of the systems concerned. Separate chapters deal with the various types of property rights, their creation, transfer and destruction, with security rights (such as mortgages, pledges, retention of title) as well as with harmonising and unifying efforts at the EU and global level. Through the functional approach taken by the Ius Commune Casebooks this volume clearly demonstrates that traditional comparative insights no longer hold. The law of property used to be regarded as a product of historical developments and political ideology, which were considered to be almost set in stone and assumed to render any substantial form of harmonisation or approximation very unlikely. Even experienced comparative lawyers considered the divide between common law and civil law to be so deep that no common ground - so it was thought - could be found. However economic integration, in particular integration of financial markets and freedom of establishment, has led to the integration of particular areas of property law such as mortgage law and enforceable security instruments (eg retention of title). This pressure towards integration has led comparative lawyers to refocus their interest from contract, tort and unjustified enrichment to property law and delve beneath its surface. This book reveals that today property law systems are closer to one another than previously assumed, that common ground can be found and that differences can be analysed in a new light to enable comparison and further the development of property law in Europe.
Publisher: Bloomsbury Publishing
ISBN: 1847319823
Category : Law
Languages : en
Pages : 1252
Book Description
This casebook presents a deep comparative analysis of property law systems in Europe (ie the law of immovables, movables and claims), offering signposts and stepping stones for the reader wishing to explore this fascinating area. The subject matter is explained with careful attention given to its history, foundations, thought-patterns, underlying principles and basic concepts. The casebook focuses on uncovering differences and similarities between Europe's major legal systems: French, German, Dutch and English law are examined, while Austrian and Belgian law are also touched upon. The book combines excerpts from primary source materials (case law and legislation) and from doctrine and soft law. In doing so it presents a faithful picture of the systems concerned. Separate chapters deal with the various types of property rights, their creation, transfer and destruction, with security rights (such as mortgages, pledges, retention of title) as well as with harmonising and unifying efforts at the EU and global level. Through the functional approach taken by the Ius Commune Casebooks this volume clearly demonstrates that traditional comparative insights no longer hold. The law of property used to be regarded as a product of historical developments and political ideology, which were considered to be almost set in stone and assumed to render any substantial form of harmonisation or approximation very unlikely. Even experienced comparative lawyers considered the divide between common law and civil law to be so deep that no common ground - so it was thought - could be found. However economic integration, in particular integration of financial markets and freedom of establishment, has led to the integration of particular areas of property law such as mortgage law and enforceable security instruments (eg retention of title). This pressure towards integration has led comparative lawyers to refocus their interest from contract, tort and unjustified enrichment to property law and delve beneath its surface. This book reveals that today property law systems are closer to one another than previously assumed, that common ground can be found and that differences can be analysed in a new light to enable comparison and further the development of property law in Europe.
The Journal of Jurisprudence
Documentation
Author: International Maritime Committee
Publisher:
ISBN:
Category : Maritime law
Languages : en
Pages : 444
Book Description
Publisher:
ISBN:
Category : Maritime law
Languages : en
Pages : 444
Book Description
A Treatise on The Conflict of Laws
Author: Friedrich Carl von Savigny
Publisher: BoD – Books on Demand
ISBN: 3846053805
Category : Law
Languages : en
Pages : 430
Book Description
Reprint of the original, first published in 1869.
Publisher: BoD – Books on Demand
ISBN: 3846053805
Category : Law
Languages : en
Pages : 430
Book Description
Reprint of the original, first published in 1869.