In a tort-based legal system, when a party is injured as a consequence of another party’s negligence, the party should be provided with sufficient compensation so that he or she may live as fulfilling a life as possible after the injury. The moral objective underlying this supposition is intuitively appealing. It is not surprising, therefore, that this jurisprudential notion is favourably regarded and widely applied in various common law and civilian jurisdictions, despite differences in tradition and culture. Nonetheless, although the two bodies of law share a similar objective in this respect, there are a number of differences in the substantive content of the law and the configuration of the rules. The present authors argue, and provi...
Following the enactment of the 2009 Tort Liability Law, the product liability system in China is lar...
This article raises three doctrinal uncertainties within Chinese tort law upon the enactment of Chin...
Should pure economic loss be compensated in China? If so, to what extent? Both questions are left un...
Although the common law system in the United Kingdom and Hong Kong is remarkably different from the...
This article reviews the personal injury tort system in the People\u27s Republic of China (PRC). The...
Conventionally, the Hong Kong Courts follow English authorities in choosing multipliers in personal ...
Empirical work consistently finds that Chinese courts resolve civil cases by finding a compromise so...
Personal injury insurers constantly need to model the future mortality experience in the process of ...
This chapter gives a transnational overview on the different judicial and legislative models adopted...
Road accident is a major contributor in personal injury cases. The plaintiff or accident victims are...
China did not have a single body of torts law until 2009. As a new piece of legislation in the count...
This essay examines the roles courts play in tort litigation in China, in particular in litigation r...
In Singapore personal injury litigations, successful claimants usually receive their compensations a...
Following the English common law, successful claimants in personal injury and clinical negligence ca...
Pure economic loss has been a frontier tort law issue both in Europe and the United States. There ar...
Following the enactment of the 2009 Tort Liability Law, the product liability system in China is lar...
This article raises three doctrinal uncertainties within Chinese tort law upon the enactment of Chin...
Should pure economic loss be compensated in China? If so, to what extent? Both questions are left un...
Although the common law system in the United Kingdom and Hong Kong is remarkably different from the...
This article reviews the personal injury tort system in the People\u27s Republic of China (PRC). The...
Conventionally, the Hong Kong Courts follow English authorities in choosing multipliers in personal ...
Empirical work consistently finds that Chinese courts resolve civil cases by finding a compromise so...
Personal injury insurers constantly need to model the future mortality experience in the process of ...
This chapter gives a transnational overview on the different judicial and legislative models adopted...
Road accident is a major contributor in personal injury cases. The plaintiff or accident victims are...
China did not have a single body of torts law until 2009. As a new piece of legislation in the count...
This essay examines the roles courts play in tort litigation in China, in particular in litigation r...
In Singapore personal injury litigations, successful claimants usually receive their compensations a...
Following the English common law, successful claimants in personal injury and clinical negligence ca...
Pure economic loss has been a frontier tort law issue both in Europe and the United States. There ar...
Following the enactment of the 2009 Tort Liability Law, the product liability system in China is lar...
This article raises three doctrinal uncertainties within Chinese tort law upon the enactment of Chin...
Should pure economic loss be compensated in China? If so, to what extent? Both questions are left un...