Open Access. Powered by Scholars. Published by Universities.®
- Keyword
-
- Marriage (5)
- Divorce (4)
- England (3)
- Germany (2)
- A Treatise on the Law of Marriage Divorce Separation and Domestic Relations (1)
-
- Argentina (1)
- Bills of separation (1)
- Book reviews (1)
- Constitutional Law of the Philippine Islands (1)
- Domicile (1)
- Domiciles (1)
- Dower Act (1)
- Evasion (1)
- Families (1)
- Federal Antitrust Law (1)
- Forced share law (1)
- France (1)
- History (1)
- History of the San Francisco Committee of Vigilance (1)
- Hood v. McGehee (1)
- In re Askew (1)
- Indefeasible share (1)
- Inter vivos gift (1)
- International commercial law (1)
- Italy (1)
- Legitimate children (1)
- MacMurray (John V.A.) (1)
- Malcom (George A.) (1)
- Marital property (1)
- Maritime law (1)
Articles 1 - 10 of 10
Full-Text Articles in Comparative and Foreign Law
What Causes Fundamental Legal Ideas? Marital Property In England And France In The Thirteenth Century, Charles Donahue Jr.
What Causes Fundamental Legal Ideas? Marital Property In England And France In The Thirteenth Century, Charles Donahue Jr.
Michigan Law Review
Categorizing broadly, the marital property systems of the Western nations today are divided into two types: those in which husband and wife own all property separately except those items that they have expressly agreed to hold jointly (in a nontechnical sense) and those in which husband and wife own a substantial portion or even all of their property jointly unless they have expressly agreed to hold it separately. The system of separate property is the "common law" system, in force in most jurisdictions where the Anglo-American common law is in force. The system of joint property is the community property …
Comparative Family Law: Law And Social Change?, Charles Donahue Jr.
Comparative Family Law: Law And Social Change?, Charles Donahue Jr.
Michigan Law Review
A Review of State, Law and Family: Family Law in Transition in the United States and Western Europe by Mary Ann Glendon
Macdonald: Fraud On The Widow's Share, Max Rheinstein
Macdonald: Fraud On The Widow's Share, Max Rheinstein
Michigan Law Review
A Review of FRAUD ON THE WIDOW'S SHARE. By William D. Macdonald
A Comparative Study Of Conflict Of Laws: A Review Of Volume One, Elliott E. Cheatham
A Comparative Study Of Conflict Of Laws: A Review Of Volume One, Elliott E. Cheatham
Michigan Law Review
This is a notable book. It is the first volume of a comparative study of conflict of laws, undertaken at the invitation of the American Law Institute and completed with the support of the University of Michigan Law School. The author, Dr. Rabel, is a man whose great learning has been tempered and made fruitful by a distinguished and varied career as lawyer and as judge on national and international tribunals, as director of an institute of comparative law and conflict of laws serving practical as well as scholarly aims, and as author and professor of law.
The Revision Of The Treaties Of Montevideo On The Law Of Conflicts, Ernst Rabel
The Revision Of The Treaties Of Montevideo On The Law Of Conflicts, Ernst Rabel
Michigan Law Review
In its issue of July 1940, the Revista Juridica Argentina of Buenos Aires has published the new "Tratados de Derecho Internacional Privado" of Montevideo concluded in 1939 and 1940. We are grateful to this review for apprising us of a significant event in the field of international codification.
Restricted Testation In New Zealand, Australia And Canada, Joseph Dainow
Restricted Testation In New Zealand, Australia And Canada, Joseph Dainow
Michigan Law Review
One of the long accepted differences between the common law and the civil law has been the freedom of testamentary disposition of the former as contrasted with the limitations of the latter. Thus, while the continental testator was limited in the amount of property that he could leave away from the members of his immediate family, the Englishman could cut them all off without a penny. In other common-law countries the same liberty was continued; but recent years have witnessed important departures.
Conflict Of Laws-Renvoi Doctrine
Conflict Of Laws-Renvoi Doctrine
Michigan Law Review
H, an Englishman, married W in England. On separation H acquired a domicil in Germany. A child was thereafter born to Y, a woman with whom H was living in Germany. H subsequently divorced W in Germany and married Y. Whether the child was legitimate determined whether H had validly exercised a power of appointment in an English settlement. Held, legitimacy is to be determined by the law of the domicil, including its rules of private international law. Germany, referring the matter to English law, found a remittance which Germany accepted and applied German municipal law. The child, by …
Marriage-Validity Of Marriage Terminable At Will Of The Parties Under Soviet Law
Marriage-Validity Of Marriage Terminable At Will Of The Parties Under Soviet Law
Michigan Law Review
Petitioner married the respondent in Moscow, in 1924, the parties being the domiciled in the Soviet Union. By Soviet law a divorce could be secured upon the registration of both parties of their desire to terminate the marriage, or upon the application of one of them to a court which had no discretion but to dissolve the union. The petitioner filed a bill for separation in England, and an issue was directed in the lower court to determine whether the parties had ever been husband and wife. The court held the marriage invalid, but on appeal it was held the …
Book Reviews, Burke Shartel, Grover C. Grismore, S C. Ho, S M. Ho, Evans Holbrook, Henry M. Bates
Book Reviews, Burke Shartel, Grover C. Grismore, S C. Ho, S M. Ho, Evans Holbrook, Henry M. Bates
Michigan Law Review
History of the San Francisco Committee of Vigilance of 1851. By Mary Floyd Williams. University of California Publications in History, Volume XII. "Berkeley: The University of California Press. 192I. Pp. xii, 543.