In this article the development in france, germany and the netherlands of a recognition policy towards the islamic divorce by unilateral repudiation (talaq) is examined. Since the unilateral repudiation has lost some of its unilateral character in the legal orders of several islamic states in recent times, there is a tendency within european states towards considering the islamic talaq as a divorce with ‘judicial proceedings’. As a result, the conditions for recognizing a talaq become less severe. Nevertheless questions on the gender aspect, on procedural guarantees, and on provisions taken after a talaq, require a cautious approach. They may give rise to grounds for invoking public policy justification against recognition. This public poli...
Muslim majority countries such as Egypt, Pakistan, and Jordan in the beginning of the second millenn...
This paper attempts to describe formalistic approach to a unilateral divorce in Islamic law, common...
The article looks at the intersections and interactions between Islamic family law and the law in fo...
In this article the development in france, germany and the netherlands of a recognition policy towar...
This article reconsiders divorce laws in contemporary Muslim jurisdictions in light of the latest de...
A form of marriage dissolution initiated exclusively and unilaterally by the husband, Islamic repudi...
In this case, the EU Court of Justice has ruled that the Rome III Regulation (EU Regulation No. 1259...
The aim of this study is to assess the extent to which French law recognizes Muslim norms and practi...
This article argues that Islamic authorities do not try to sustain a jurisdiction over Islamic divor...
English courts consider the validity of a talaq obtained abroad on the basis of the lex matrimonii, ...
In this case, the EU Court of Justice has ruled that the Rome III Regulation (EU Regulation No. 1259...
In the result of increased migration and the gradual formation of multicultural societies, the growt...
English courts consider the validity of a talaq obtained abroad on the basis of the lex matrimonii, ...
This article deals with how the Muslim community in Sweden deals with matters of marriage and divorc...
This paper deals with the interplay between freedom of religion and the transnational recognition of...
Muslim majority countries such as Egypt, Pakistan, and Jordan in the beginning of the second millenn...
This paper attempts to describe formalistic approach to a unilateral divorce in Islamic law, common...
The article looks at the intersections and interactions between Islamic family law and the law in fo...
In this article the development in france, germany and the netherlands of a recognition policy towar...
This article reconsiders divorce laws in contemporary Muslim jurisdictions in light of the latest de...
A form of marriage dissolution initiated exclusively and unilaterally by the husband, Islamic repudi...
In this case, the EU Court of Justice has ruled that the Rome III Regulation (EU Regulation No. 1259...
The aim of this study is to assess the extent to which French law recognizes Muslim norms and practi...
This article argues that Islamic authorities do not try to sustain a jurisdiction over Islamic divor...
English courts consider the validity of a talaq obtained abroad on the basis of the lex matrimonii, ...
In this case, the EU Court of Justice has ruled that the Rome III Regulation (EU Regulation No. 1259...
In the result of increased migration and the gradual formation of multicultural societies, the growt...
English courts consider the validity of a talaq obtained abroad on the basis of the lex matrimonii, ...
This article deals with how the Muslim community in Sweden deals with matters of marriage and divorc...
This paper deals with the interplay between freedom of religion and the transnational recognition of...
Muslim majority countries such as Egypt, Pakistan, and Jordan in the beginning of the second millenn...
This paper attempts to describe formalistic approach to a unilateral divorce in Islamic law, common...
The article looks at the intersections and interactions between Islamic family law and the law in fo...