Buch, Englisch, 344 Seiten, Format (B × H): 175 mm x 250 mm, Gewicht: 770 g
Buch, Englisch, 344 Seiten, Format (B × H): 175 mm x 250 mm, Gewicht: 770 g
ISBN: 978-0-19-968534-9
Verlag: ACADEMIC
The doctrine of sham is one that pervades the common law. This book will be the first cross-disciplinary analysis of all aspects of the sham doctrine, from its history and development to its varied practical applications. For practitioners used to working in only one area of sham, this volume allows a broader appreciation of the doctrine as it is applied in diverse legal areas, such as tenancy law, trusts, employment law and tax.
These several areas are expounded by experts in their field, including both leading practitioners and distinguished scholars. Each contribution considers how key themes apply in each field, such as how the doctrine of sham is related to deceit or fraud, why the doctrine has been found to be useful and how it relates to other principles of statutory interpretation.
This wide-ranging work is brought together, not only by these key themes, but by the comparative analysis of the editors, making this a substantial contribution to the understanding of the common law doctrine of sham.
Autoren/Hrsg.
Weitere Infos & Material
- Part I: Context and History
- 1: Miranda Stewart and Edwin Simpson: Introduction: What is the Sham 'Doctrine'?
- 2: Mike McNair: Sham: Early Uses and Related and Unrelated Doctrines
- 3: Miranda Stewart: The Judicial Doctrine of Sham in Australia
- 4: Joshua Blank and Nancy Staudt: Sham Transactions in the United States
- 5: Edwin Simpson: Sham and Purposive Statutory Construction
- Part II: Sham Transactions
- 6: Susan Bright, Hannah Glover and Jeremias Prassl: 'Shams' in Tenancy Agreements
- 7: Matthew Conaglen: Sham and Trusts
- 8: Nicholas Le Poidevin: Sham and Trusts: A Practitioner's Perspective
- 9: Lord Neuberger: Sham Doctrine and Company Charges
- 10: Anne Davies: Sham Transactions in Employment Law
- 11: Robert Miles and Eleanor Holland: Shams and Piercing the Corporate Veil
- Part III: Taxation and Artificiality
- 12: Malcolm Gammie: Tracing the Boundaries of Sham and Ramsay
- 13: Shelley Griffiths and Jessica Palmer: Sham and Tax Avoidance: What Difference does a GAAR make? - a New Zealand Perspective
- 14: Glen Loutzenhiser: Trompe-l'oeil: Sham in the Canadian Tax Courts
- 15: John Vella: Sham, Tax Avoidance and 'A Realistic View of Facts'
- 16: Michael Kirby: Sham and Tax Law: Coffee Beans, Trust Funds and Judicial Distaste




