Refresh

0 Hits

Heinecke

Das niederländische Übereignungssystem als mögliches Vorbild für Europa

Nomos,  2024, ca. 240 Pages

ISBN 978-3-7560-1699-0


Our continuation service: You will receive new series titles or new editions automatically and without obligation to purchase. If you wish to do so, you can mark it in the shopping cart.

The work is part of the series Studien zum Zivilrecht (Volume 58)
approx. 74,00 € incl. VAT
Published August 2024 (available for reservation)
Add to shopping cart
Add to notepad
 Further options for registered users

englischWhile many areas of private law have been largely harmonized by European law, property law, and in particular the transfer of ownership, is still regulated very differently in the various EU member states. This work examines the structural principles underlying the transfer of ownership. It focuses on Dutch property law, which forms a middle ground between the extremes existing in the EU. In addition, it is disputed in the Netherlands whether a real agreement exists. In comparison with German law, it is examined whether the real agreement offers added value outside of the principle of abstraction and which system is the more consistent overall.

Find the cover of the current title in PDF format here: