In the U.S. corporations can be incorporated in any of the 50 states and can “reincorporate” afterwards in another state. In the E.U., by contrast, such freedoms are a much more recent achievement: In the last decade, first the European Court of Justice has liberalized initial incorporations and only in 2005 the cross-border directive has open the doors to freedom of midstream reincorporation from one member state to another. Midstream reincorporations, however, in the E.U. have a much different impact than on the other side of the Atlantic. In the U.S., indeed, the competence of the state where a company is incorporated is limited: on the one hand, it is restricted by federal laws and, on the other hand it regulates only the “internal affa...
The Court decision in Daily Mail has come as a result of the resolution of the Member States to endo...
That a corporation should be incorporated in, or chartered by, a particular state is a peculiar ...
Part I of this Note describes a phenomenon of modern corporate activity first identified over fifty ...
In the U.S. corporations can be incorporated in any of the 50 states and can \u201creincorporate\u20...
In the U.S., corporations can be incorporated in any of the 50 states and can \u201creincorporate\u2...
This paper compares the legal frameworks for corporate reincorporations of all EU Member States, rel...
In a federal system in which each state may enact laws providing for the chartering and governance o...
In the European Union, like in the US, corporate law is state law, not \u201cfederal\u201d law . Cr...
This thesis examines the decision made by managers of publicly traded corporations to change the fir...
Since the decision of the European Court of Justice in the Centros case, it has become popular in co...
This article examines the constitutional validity of business combination antitakeover statutes. Del...
Despite recent decisions of the Court of Justice that liberalise inbound and outbound reincorporatio...
Can firms freely choose their place for corporation and thus the applicable law? And is it possible ...
The state of incorporation doctrine, which now applies both in the United States and in the European...
The question of the citizenship of a foreign corporation as conferring jurisdiction upon a federal c...
The Court decision in Daily Mail has come as a result of the resolution of the Member States to endo...
That a corporation should be incorporated in, or chartered by, a particular state is a peculiar ...
Part I of this Note describes a phenomenon of modern corporate activity first identified over fifty ...
In the U.S. corporations can be incorporated in any of the 50 states and can \u201creincorporate\u20...
In the U.S., corporations can be incorporated in any of the 50 states and can \u201creincorporate\u2...
This paper compares the legal frameworks for corporate reincorporations of all EU Member States, rel...
In a federal system in which each state may enact laws providing for the chartering and governance o...
In the European Union, like in the US, corporate law is state law, not \u201cfederal\u201d law . Cr...
This thesis examines the decision made by managers of publicly traded corporations to change the fir...
Since the decision of the European Court of Justice in the Centros case, it has become popular in co...
This article examines the constitutional validity of business combination antitakeover statutes. Del...
Despite recent decisions of the Court of Justice that liberalise inbound and outbound reincorporatio...
Can firms freely choose their place for corporation and thus the applicable law? And is it possible ...
The state of incorporation doctrine, which now applies both in the United States and in the European...
The question of the citizenship of a foreign corporation as conferring jurisdiction upon a federal c...
The Court decision in Daily Mail has come as a result of the resolution of the Member States to endo...
That a corporation should be incorporated in, or chartered by, a particular state is a peculiar ...
Part I of this Note describes a phenomenon of modern corporate activity first identified over fifty ...