THE validity of contracts is not governed in Germany by a unitary rule. With respect to capacity and formalities the Introductory Law to the Civil Code lays down general provisions which are applicable to contracts. Article 7, paragraph 1, of this law provides that the capacity to do juristic acts shall be governed by the national law. The capacity to contract is to be determined, therefore, with reference to the national law of each of the contracting parties. The rule is laid down generally and controls irrespective of whether the party in question is a German or a foreigner. The national law determines whether a person is a minor and whether a married woman can contract without authorization from her husband. It determines also the meth...
Conflict of laws in contracts in the USA Abstract This thesis is focused on Conflict of Laws in the ...
This publication is with permission of the rights owner freely accessible due to an Alliance licence...
It is obvious today that the discussions concerning a European contract law have considerably intens...
THE validity of contracts is not governed in Germany by a unitary rule. With respect to capacity and...
The rules governing the Conflict of Laws in Germany, as far as they are established by legislative e...
There is no..topic in the conflict of laws in regard to which there is greater uncertainty than that...
CONTRACTS 1. Capacity. Capacity to contract is regarded by Anglo-American law as one of the operativ...
A question may arise whether there was in legal contemplation a meeting of minds. Suppose that A in ...
The performance of the obligations in contract law is the complicated legal phenomenon. The Ar-ticle...
IN ENGLISH The aim of this thesis is to determine and evaluate conflict of law rules for designating...
The contracts are made to be kept – pacta sunt servanda. This maxim surely is the cornerstone of any...
In Germany the rules of the conflict of laws «have generally been regarded as a part of the municipa...
The aim of this article is a brief analysis of German Civil Code provisions on a treatment contract ...
This article was written during the preparation of the master’s thesis at the Institute of Comparati...
In the field of private international law, the law competent to regulate the substantive conditions ...
Conflict of laws in contracts in the USA Abstract This thesis is focused on Conflict of Laws in the ...
This publication is with permission of the rights owner freely accessible due to an Alliance licence...
It is obvious today that the discussions concerning a European contract law have considerably intens...
THE validity of contracts is not governed in Germany by a unitary rule. With respect to capacity and...
The rules governing the Conflict of Laws in Germany, as far as they are established by legislative e...
There is no..topic in the conflict of laws in regard to which there is greater uncertainty than that...
CONTRACTS 1. Capacity. Capacity to contract is regarded by Anglo-American law as one of the operativ...
A question may arise whether there was in legal contemplation a meeting of minds. Suppose that A in ...
The performance of the obligations in contract law is the complicated legal phenomenon. The Ar-ticle...
IN ENGLISH The aim of this thesis is to determine and evaluate conflict of law rules for designating...
The contracts are made to be kept – pacta sunt servanda. This maxim surely is the cornerstone of any...
In Germany the rules of the conflict of laws «have generally been regarded as a part of the municipa...
The aim of this article is a brief analysis of German Civil Code provisions on a treatment contract ...
This article was written during the preparation of the master’s thesis at the Institute of Comparati...
In the field of private international law, the law competent to regulate the substantive conditions ...
Conflict of laws in contracts in the USA Abstract This thesis is focused on Conflict of Laws in the ...
This publication is with permission of the rights owner freely accessible due to an Alliance licence...
It is obvious today that the discussions concerning a European contract law have considerably intens...