For China, the trust is not an indigenous legal institution. In 2001, the enactment of Trust Law of the People’s Republic of China marks the formal reception of the common law trust in the China’s civil law-based legal system. However, critics claim that the “dual ownership”, which is the hallmark of the common law trust, conflicts with the civilian conception of indivisible and absolute ownership. Due to the lack of theoretical foundation, Chinese trust law remains ambiguous on the ownership of trust property. This Dissertation begins by exploring four existing trust property ownership approaches adopted by the common law and non-common law jurisdictions. It shows that Chinese trust law uses a totally different one, which allows the settlo...
Chinese takeover regulation is a combination of rules transplanted from the UK, Hong Kong and US, wh...
Review of: Kai Lyu, Re-Clarifying China\u27s Trust Law: Characteristics and New Conceptual Basis, 36...
This research investigates a market of informal real estate in China, referenced by the term “small ...
A main characteristic of the common law trust is the concept of dual ownership. This concept establi...
English trusts are founded on the historical and doctrinal basis of equity and its consequent divisi...
The common law trust institution always encounters modifications when it is transplanted to civil la...
The principle of numerus clauses is the basic principle of civil law countries, and trusts, as a pro...
Legal transplants are considered a significant factor in the evolution of legal systems. One example...
China enacted the Trust Law in 2001 as part of its efforts to put in place a modern system of privat...
The aim of this research is to develop a thorough understanding of the change of ownership and prope...
Asset or wealth management is a booming business in Mainland China. In a civil law system, how do Ch...
China transplanted English trust law in 2001. This article examines the judgment of a recent case de...
This article invokes a concept of ‘community-based individual property rights’ as individual propert...
The premise of this paper is that in order to understand contemporary concepts and institutions of ...
In this study, I have three main objectives. The first is to identify th e driving social forces tha...
Chinese takeover regulation is a combination of rules transplanted from the UK, Hong Kong and US, wh...
Review of: Kai Lyu, Re-Clarifying China\u27s Trust Law: Characteristics and New Conceptual Basis, 36...
This research investigates a market of informal real estate in China, referenced by the term “small ...
A main characteristic of the common law trust is the concept of dual ownership. This concept establi...
English trusts are founded on the historical and doctrinal basis of equity and its consequent divisi...
The common law trust institution always encounters modifications when it is transplanted to civil la...
The principle of numerus clauses is the basic principle of civil law countries, and trusts, as a pro...
Legal transplants are considered a significant factor in the evolution of legal systems. One example...
China enacted the Trust Law in 2001 as part of its efforts to put in place a modern system of privat...
The aim of this research is to develop a thorough understanding of the change of ownership and prope...
Asset or wealth management is a booming business in Mainland China. In a civil law system, how do Ch...
China transplanted English trust law in 2001. This article examines the judgment of a recent case de...
This article invokes a concept of ‘community-based individual property rights’ as individual propert...
The premise of this paper is that in order to understand contemporary concepts and institutions of ...
In this study, I have three main objectives. The first is to identify th e driving social forces tha...
Chinese takeover regulation is a combination of rules transplanted from the UK, Hong Kong and US, wh...
Review of: Kai Lyu, Re-Clarifying China\u27s Trust Law: Characteristics and New Conceptual Basis, 36...
This research investigates a market of informal real estate in China, referenced by the term “small ...