The article discusses the differences between the South African civil law and Islamic law with specific reference to post-divorce spousal maintenance as well as postdivorce maintenance of children in light of recent case law, Mahomed v Mahomed [2009] JOL 23733 (ECP). The issue of post-divorce spousal maintenance is especially controversial and it is noted that in both systems the issue should not beseen in isolation, but in conjunction with the other protection possibilities within each of these systems. The apparent conflict between the South African constitutional principles and the principles of Islam is noted and compared to the Indian legal and constitutional experience, although reference is also made to the Algerian legal position. D...
Introduction: In Muslim personal law, the husband on pronouncing a divorce has a number of legal obl...
A Muslim man can marry a maximum of four women at a time in terms of Islamic law. These women may in...
The primary concern of this article is a comparative analysis of marriage law in three legal systems...
This article compares the South African civil-law and Islamic-law positions with regard to the finan...
The purpose of this article is to clarify some issues regarding Muslim divorces which have been the ...
The article discusses and compares the dissolution of a marriage as well as the legal consequences t...
After 350 years of non-recognition, and following a protracted procedure, Muslim religious marriage...
This article deals with intestate succession against the background of the complex Islamic legal asp...
The state law of South Africa consists of the common law and the customary law. However, in reality ...
Notwithstanding the fact that South Africa is a country rich in cultural diversity, and despite sect...
On a daily basis people enquire about the dissolution of Islamic marriages, in terms of South Africa...
The purpose of this discussion is to note the application of the maintenance statutes vis-à-vis Musl...
South Africa is a secular state with a constitution that guarantees the right to freedom of religion...
On a daily basis people enquire about the dissolution of Islamic marriages, in terms of South Africa...
Due to their potentially polygamous nature, Islamic marriages are not recognised in terms of South A...
Introduction: In Muslim personal law, the husband on pronouncing a divorce has a number of legal obl...
A Muslim man can marry a maximum of four women at a time in terms of Islamic law. These women may in...
The primary concern of this article is a comparative analysis of marriage law in three legal systems...
This article compares the South African civil-law and Islamic-law positions with regard to the finan...
The purpose of this article is to clarify some issues regarding Muslim divorces which have been the ...
The article discusses and compares the dissolution of a marriage as well as the legal consequences t...
After 350 years of non-recognition, and following a protracted procedure, Muslim religious marriage...
This article deals with intestate succession against the background of the complex Islamic legal asp...
The state law of South Africa consists of the common law and the customary law. However, in reality ...
Notwithstanding the fact that South Africa is a country rich in cultural diversity, and despite sect...
On a daily basis people enquire about the dissolution of Islamic marriages, in terms of South Africa...
The purpose of this discussion is to note the application of the maintenance statutes vis-à-vis Musl...
South Africa is a secular state with a constitution that guarantees the right to freedom of religion...
On a daily basis people enquire about the dissolution of Islamic marriages, in terms of South Africa...
Due to their potentially polygamous nature, Islamic marriages are not recognised in terms of South A...
Introduction: In Muslim personal law, the husband on pronouncing a divorce has a number of legal obl...
A Muslim man can marry a maximum of four women at a time in terms of Islamic law. These women may in...
The primary concern of this article is a comparative analysis of marriage law in three legal systems...