Legal transplants are considered a significant factor in the evolution of legal systems. One example of transplant of a legal institution through its prestige is the diffusion of the trust from the English legal system to other common law systems and to many civil law countries. One of these is China that in 2001 enacted the Trust Law of the People's Republic of China. This paper wants to analyse the trust under the Trust Law and to compare it with the original model in the English legal system, understanding how far or how close it is from the original one
This is a short summary of the history and recent developments of Chinese tort law in the context of...
Chinese takeover regulation is a combination of rules transplanted from the UK, Hong Kong and US, wh...
Much of Chinese civil law is a product of Western legal transplants. However, when dealing with a co...
The common law trust institution always encounters modifications when it is transplanted to civil la...
China enacted the Trust Law in 2001 as part of its efforts to put in place a modern system of privat...
For China, the trust is not an indigenous legal institution. In 2001, the enactment of Trust Law of ...
China transplanted English trust law in 2001. This article examines the judgment of a recent case de...
Trust law was transplanted into China nearly two decades ago, but how has it been applied by the Chi...
English trusts are founded on the historical and doctrinal basis of equity and its consequent divisi...
The history of intellectual property laws in China is a history of legal transplants. From the intro...
Often, legal ideas are transplanted between legal systems. This can be seen not only in colonial con...
This book analyses and compares Asian trust laws to critically evaluate Asian approaches to the rece...
Legal transplantation is a form of law-making. Scholars have advanced many theories in an endeavour ...
A main characteristic of the common law trust is the concept of dual ownership. This concept establi...
Since its introduction in East Asia over a century ago, trust law has seen much development, refinem...
This is a short summary of the history and recent developments of Chinese tort law in the context of...
Chinese takeover regulation is a combination of rules transplanted from the UK, Hong Kong and US, wh...
Much of Chinese civil law is a product of Western legal transplants. However, when dealing with a co...
The common law trust institution always encounters modifications when it is transplanted to civil la...
China enacted the Trust Law in 2001 as part of its efforts to put in place a modern system of privat...
For China, the trust is not an indigenous legal institution. In 2001, the enactment of Trust Law of ...
China transplanted English trust law in 2001. This article examines the judgment of a recent case de...
Trust law was transplanted into China nearly two decades ago, but how has it been applied by the Chi...
English trusts are founded on the historical and doctrinal basis of equity and its consequent divisi...
The history of intellectual property laws in China is a history of legal transplants. From the intro...
Often, legal ideas are transplanted between legal systems. This can be seen not only in colonial con...
This book analyses and compares Asian trust laws to critically evaluate Asian approaches to the rece...
Legal transplantation is a form of law-making. Scholars have advanced many theories in an endeavour ...
A main characteristic of the common law trust is the concept of dual ownership. This concept establi...
Since its introduction in East Asia over a century ago, trust law has seen much development, refinem...
This is a short summary of the history and recent developments of Chinese tort law in the context of...
Chinese takeover regulation is a combination of rules transplanted from the UK, Hong Kong and US, wh...
Much of Chinese civil law is a product of Western legal transplants. However, when dealing with a co...