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  • 1
    UID:
    almafu_9960119086402883
    Format: 1 online resource (xi, 347 pages) : , digital, PDF file(s).
    ISBN: 1-316-82396-2 , 1-316-82540-X , 1-316-82564-7 , 1-316-82588-4 , 1-316-65892-9 , 1-316-82612-0 , 1-316-82684-8
    Content: Past research and literature suggest that legal institutions drive economic development. Yet China has grown for decades without the fundamental legal infrastructure that was once considered necessary. This is called the 'China puzzle' or the 'China myth'. By carefully comparing the four key branches of private law in China and Taiwan - a jurisdiction that grew with modest legal institutions and shares similar legal and non-legal culture - this collaborative and novel book demystifies the 'China puzzle'. Top scholars in the field use an economics-focused analytical approach to explain how and why the laws have taken such paths over the past four decades. Comparing property, contract, tort, and corporate laws in China and Taiwan, these authors delve deeply into key doctrines to provide a meaningful account of the evolution of private law in these two jurisdictions.
    Note: Title from publisher's bibliographic system (viewed on 15 Dec 2016). , Concentrated and distributed law : observations on legal evolution in China and Taiwan / Saul Levmore -- The economics of legal harmonization and legal convergence / Bruno Defains -- The evolution of contract law in China : convergence in law but divergence in enforcement? / Jing Leng and Wei Shen -- The evolution of contract law in Taiwan : lost in interpretation? / Wen-Yeu Wang -- The evolution of the law of torts in China : the growth of a liability system / Wei Zhang -- The evolution of tort law in Taiwan : a doctrinal-economic interpretation / Tze-Shiou Chien -- The evolution of Chinese property law : stick by stick? / Shitong Qiao -- The evolution of property law in Taiwan : an unconventional interest group story / Yun-Chien Chang -- Evolution of corporate law in China : mission possible to reform SOEs? / Ruoying Chen -- The evolution of company law in Taiwan : a focus on the blockholder-centric model / Ching-Ping Shao -- Conclusion : a tale of two jurisdictions - is it an end to the divergence of private law? / Wei Shen and Wen-Yeu Wang.
    Additional Edition: ISBN 1-107-15424-3
    Language: English
    URL: Volltext  (lizenzpflichtig)
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  • 2
    UID:
    gbv_860454479
    Format: xi, 347 Seiten , Illustrationen
    ISBN: 9781107154247
    Note: "This book originated in the symposium held during the 2014 Asian Law and Economics Association annual meeting" (Acknowledgments)
    Language: English
    Subjects: Law
    RVK:
    RVK:
    RVK:
    Keywords: China ; Taiwan ; Privatrecht ; Rechtsvergleich ; Konferenzschrift
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  • 3
    Book
    Book
    New York, NY :Cambridge University Press,
    UID:
    almafu_BV043690933
    Format: xi, 347 Seiten : , Illustrationen.
    ISBN: 978-1-107-15424-7
    Content: "This book explores the evolution of property, contract, tort, and business organization laws in China and Taiwan. Given the drastic changes in the two jurisdictions in recent decades, the book covers not only the current law, but also how these laws evolved into their current forms. Moreover, this book not restates black-letter laws, but also offers economic analysis of the driving force behind the legal evolution and examines whether the legal changes are economically efficient. Given China's dazzling economic development in the past three decades, few would question the importance of studying China, particularly the four basic legal fields that will shape the future of the Chinese regime and greatly affect the interest of foreign investors. Why Taiwan? To put China's legal changes in context, one has to find a proper benchmark. Hong Kong and Singapore are ruled by Chinese people, but their laws are fundamentally shaped by English common law, and they are both much smaller than Taiwan. Macao is in a similar situation, except that it has imported Portuguese law, which has hardly any influence on laws in China. By contrast, in the property, contract, and tort laws of China and Taiwan, the doctrinal structures are both civil-law, whereas in business organization law, the U.S. law is the main inspiration. Moreover, in many ways, private laws in China and Taiwan are heavily influenced by German jurisprudence, making the comparison even more meaningful. There is also strong evidence that Chinese scholars and legislature, in formulating these four areas of laws, widely consult laws and legal scholarship in Taiwan"...
    Language: English
    Subjects: Law
    RVK:
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