The United States, the United Kingdom, and Japan developed their product liability laws based on a common desire to protect consumers. Although these regimes are similar in many ways, due to cultural differences, it seems there will always be differences. U.S. and British strict product liability regimes date back to the nineteenth and early twentieth century. Japan\u27s strict product liability regime, however, is still in its infancy. By examining the development of strict product liability in each of these countries, focusing on statutory and common law language, as well as the position of, structure of, and access to the judiciary, this Note concludes, due to the similarities between the United Kingdom and Japan-similarities generally n...
Japanese jurisprudence has been strongly influenced by German jurisprudence, but this trend is chang...
1.Introduction, 2,Strict Liability Legislation in Japan, Europe and Australia, 2.1.Purpose, 2.3.Defi...
This article will set forth and compare the domestic law of the United States and Japan, in the narr...
The United States, the United Kingdom, and Japan developed their product liability laws based on a c...
This note argues that Japan’s former product liability system deprived consumers of adequate protect...
A new Product Liability (PL) Act in Japan became effective in July, 1995. In the United States, cong...
Japan has been contemplating the implementation of a product liability system since 1972. After much...
Both the U.S. and Japan are highly industrialized countries and many of the same products are used i...
Consumers in wealthy countries like the U.S. and Japan usually know what they want, and how to obtai...
The statutory language of Japan\u27s 1994 Products Liability Act envisions a strict liability regime...
The authors analyze the 1994 Japanese products liability law from a national-culture perspective. Af...
Following the enactment of the 2009 Tort Liability Law the product liability system in China is larg...
Following the enactment of the 2009 Tort Liability Law, the product liability system in China is lar...
Trade between the United States and Japan is growing at such a rapid pace that it is incumbent on th...
Where products develop ever more rapidly, the law may face difficulties in responding accordingly to...
Japanese jurisprudence has been strongly influenced by German jurisprudence, but this trend is chang...
1.Introduction, 2,Strict Liability Legislation in Japan, Europe and Australia, 2.1.Purpose, 2.3.Defi...
This article will set forth and compare the domestic law of the United States and Japan, in the narr...
The United States, the United Kingdom, and Japan developed their product liability laws based on a c...
This note argues that Japan’s former product liability system deprived consumers of adequate protect...
A new Product Liability (PL) Act in Japan became effective in July, 1995. In the United States, cong...
Japan has been contemplating the implementation of a product liability system since 1972. After much...
Both the U.S. and Japan are highly industrialized countries and many of the same products are used i...
Consumers in wealthy countries like the U.S. and Japan usually know what they want, and how to obtai...
The statutory language of Japan\u27s 1994 Products Liability Act envisions a strict liability regime...
The authors analyze the 1994 Japanese products liability law from a national-culture perspective. Af...
Following the enactment of the 2009 Tort Liability Law the product liability system in China is larg...
Following the enactment of the 2009 Tort Liability Law, the product liability system in China is lar...
Trade between the United States and Japan is growing at such a rapid pace that it is incumbent on th...
Where products develop ever more rapidly, the law may face difficulties in responding accordingly to...
Japanese jurisprudence has been strongly influenced by German jurisprudence, but this trend is chang...
1.Introduction, 2,Strict Liability Legislation in Japan, Europe and Australia, 2.1.Purpose, 2.3.Defi...
This article will set forth and compare the domestic law of the United States and Japan, in the narr...