Sentences with phrase «civil law countries»

The position regarding notice and time bar provisions in construction contracts in civil law countries is arguably somewhat different.
In many civil law countries, a prosecutor has a duty to prosecute all crimes possible.
Many civil law countries lack an express mechanism for grouping large numbers of similar claims together into a single case except in very limited circumstances.
In contrast to a civil law marriage contract (common in civil law countries such as continental Europe, South Africa etc), a pre-nuptial agreement does not elect a «matrimonial property regime» i.e. a set of rules which govern how assets are owned and dealt with during the marriage.
My recollection is that delegates from civil law countries did not want to use the common - law terminology of «invitation to treat», but they were comfortable with «invitation to make offers».
When I was in law school, I took multiple classes in comparative law (I won an award for the best comparative law student in my year), was an editor on an international law journal for a couple of years, and had a couple dozen classmates from civil law countries who were pursuing their L.L.M at my law school whom I spent time with and discussed what it was like to practice of law in their home countries over sangria (the local specialty).
In most countries, particularly civil law countries, there has been a tradition of giving the United States, prosecute criminal cases brought by the federal government, and collect money owed to the federal government.
Civil law countries already distinguish between legal marriage, which basically is a «civil union» and religious marriage, which is deinstitutionalized.
The researcher can use journal indexes to find articles such as Antonio Gidi, Class Actions in Brazil — A Model for Civil Law Countries, 51 Am.
Civil law countries never allow single judges to have the immense discretion of an American sentencing judge in a criminal felony case - decisions of that heft are always handled by panels of three and sometimes more judges.
It's important to recognize that in civil law countries such as France, hard line socialism is much more likely to take hold.
In civil law countries such as France you need a marriage at city hall and may get a second one at the formerly established RC church.
Civil law countries don't recognize blanket requests or «fishing expeditions» and typically require disclosure when requests are specific and particularized.
The resulting code is the basis of the modern so - called «inquisitorial system» of criminal courts, used in France and many civil law countries, though significantly changed since Bonaparte's day (especially with regard to the expansion of the rights of the defendant).
This is also true of some key sections of the tax code, and in civil law countries, of language from the original Code Napoleon.
The majority of Asian jurisdictions are civil law countries.
Civil law countries in Asia - such as China, Japan, Korea, Indonesia, Thailand and Vietnam - do not recognise privilege.
The Library of Congress explains that, as a civil law country, Chinese judges make rulings based on statutes without deference to other court decisions — unlike the U.S. common law system, which is based on judicial interpretations.
Many countries, such as the federal government of the USA and civil law countries such as France, Germany, the Netherlands, Sweden, Finland and Spain, do not recognise copyright in legislation or judgments.
@TimLymington The UK is a common law country, not a civil law country.
Your last sentence is oversimplified, to say the least; there are many civil law countries (such as the UK) that have established churches.
In civil law countries, comparable organizations are known as Orders of Advocates, Chambers and 1977 striking down citizenship restrictions in Belgium and France.
An equivalent dichotomy developed between advocates and procurators in some civil law countries; these two types and be an engaging student.
In many of these civil law countries, structures such as trusts and foundations for preserving their family wealth are simply unavailable.
The common law principle that disputes should be resolved on the merits, which the FRCP discovery rules are based on, is not shared in civil law countries.
Each civil law country guide includes information about or links to that country's civil code.
We are well versed in the complexities surrounding pre-nuptial agreements with international couples, especially when a civil law country is involved.
This is not the case with Afghanistan even though it is a civil law country.
And, the hearsay rule does not exist in civil law countries.
It is perhaps much better suited to societies such as England or the civil law countries on the Continent which inherited the system along with wigs and robes.
That said, in some civil law countries, the foreign judge may end up questioning the witness with the US attorneys submitting written questions to the judge.
And, of course, in civil law countries such as Germany and Italy, some documents must be formally notarised in the presence of a public notary.
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