Buch, Englisch, Band 1, 384 Seiten, Format (B × H): 155 mm x 235 mm, Gewicht: 713 g
Buch, Englisch, Band 1, 384 Seiten, Format (B × H): 155 mm x 235 mm, Gewicht: 713 g
Reihe: Nijhoff Studies in European Union Law
ISBN: 978-90-04-20673-1
Verlag: Koninklijke Brill BV
The Rome I Regulation on the Law Applicable to Contractual Obligations has unified the conflict of laws rules of the Member States. The influence of the European Union upon Private International Law goes beyond positive harmonisation however. There is a certain tension between European law and PIL. European law is concerned with whether the imposition of a rule constitutes a restriction to the internal market whereas PIL does not seek to neutralise the disadvantages that result from differences between national laws but instead tries to locate the geographical centre of the legal relationship. The present book attempts to identify the methodological disharmony between the two legal disciplines in the regulation of cross border contracts and proposes suggestions to enhance their mutual understanding.
Zielgruppe
All those interested in European law, Private International Law and contract law, including academics, practising lawyers and the European institutions.




