Choice of law determines which national legal system applies to an international case. Currently many choice of law rules in the field of family law are regulated by national law. However, these national rules of the EU Member States are more and more displaced by common European rules. This book describes the changes brought by the Europeanisation of the choice of law on divorce. From the conclusions drawn in the field of divorce the concluding chapter discusses the changes of Europeanisation of international family law in a broader perspective.
Choice of law determines which national legal system applies to an international case. Currently many choice of law rules in the field of family law are regulated by national law. However, these national rules of the EU Member States are more and more displaced by common European rules. This book describes the changes brought by the Europeanisation of the choice of law on divorce. From the conclusions drawn in the field of divorce the concluding chapter discusses the changes of Europeanisation of international family law in a broader perspective.
Introduction.- The Dutch choice of law rules on divorce.- The Dutch choice of law rules on the termination of registered partnerships.- The Europeanisation of international family law: the EU legislature's competence.- The proposed European choice of law rules on divorce.- The failure of the establishment of a common European choice of law on divorce.- The Dutch and the European choice of law rules on divorce compared.- A unified system of international family law in the European Union: which way forward?
Introduction.- The Dutch choice of law rules on divorce.- The Dutch choice of law rules on the termination of registered partnerships.- The Europeanisation of international family law: the EU legislature’s competence.- The proposed European choice of law rules on divorce.- The failure of the establishment of a common European choice of law on divorce.- The Dutch and the European choice of law rules on divorce compared.- A unified system of international family law in the European Union: which way forward?
Introduction.- The Dutch choice of law rules on divorce.- The Dutch choice of law rules on the termination of registered partnerships.- The Europeanisation of international family law: the EU legislature's competence.- The proposed European choice of law rules on divorce.- The failure of the establishment of a common European choice of law on divorce.- The Dutch and the European choice of law rules on divorce compared.- A unified system of international family law in the European Union: which way forward?
Introduction.- The Dutch choice of law rules on divorce.- The Dutch choice of law rules on the termination of registered partnerships.- The Europeanisation of international family law: the EU legislature’s competence.- The proposed European choice of law rules on divorce.- The failure of the establishment of a common European choice of law on divorce.- The Dutch and the European choice of law rules on divorce compared.- A unified system of international family law in the European Union: which way forward?
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