Feigned 发表于 2025-3-23 10:58:16
Tai-Siang Huang,Po-Yang Hsiung,Bo-Chao Cheng8).) and in 1794, Pennsylvania enacted a statute reforming the common law of homicide, by separating murder into two degrees, first degree capital murder, for premeditated, deliberate murders or murders in the course of serious felonies such as robbery, rape, burglary, arson or kidnapping, and seconMri485 发表于 2025-3-23 15:57:50
Hao Zhang,Qiong Hong,Xiaomeng Shi,Jie He of judicial review as well as by the general awareness of their content and importance among jurists and citizens alike (13.1.5). The interactions of German law with international law (13.2.1) and, in particular, of German basic rights with the European Convention on Human Rights (13.2.2) as well aFlustered 发表于 2025-3-23 21:54:36
2214-6881 cation of law..This book is developed from papers presented at the 2012 Thematic Congress of the International Academy of Comparative Law..978-3-319-37662-2978-3-319-03455-3Series ISSN 2214-6881 Series E-ISSN 2214-689X是他笨 发表于 2025-3-24 01:06:16
Codification: The Civilian Experience Reconsidered on the Eve of a Common European Sales Lawations in the late 18th and early 19th centuries. It then deals with a number of myths and misconceptions associated with codifications. The Proposal for a Regulation on a Common European Sales Law has now firmly placed the issue of codification on the European legal agenda. The essay therefore atte云状 发表于 2025-3-24 03:19:32
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The Soft Codification of the UNIDROIT Principles of International Commercialf codification: the soft one—the UNIDROIT principles of International Commercial Contract (UNIDROIT principles)—instead of the common codes. This article focuses on the codification aspect rather than its substantial material and is composed of eight parts. After the introduction in the first part,真 发表于 2025-3-24 12:47:30
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Codification of Private Law in Post-Soviet States of the CIS and Georgia is significantly different from the old Soviet one, from both a content and legal drafting standpoint. This article put emphasis on introducing and comparing two models of codification of civil law in CIS countries, namely the Model Civil Code (MCC) system and the Civil Code of Georgia (CCG) systemHearten 发表于 2025-3-24 21:16:24
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A Civil Code Outside of Reality—The Polish Codification of the Year 1964, Its Origin, Development anlish civil code has been adopted in a quite specific time, during which the country was ruled by a communist regime. As the change of the political environment and the improvement of the new technology, the civil codes of the communist countries were facing a fundamental challenge with the reintrodu