The EU regulations on matrimonial and patrimonial property / Ulf Bergquist, senior partner in Bergquist & Partners law firm, Stockholm ; Domenico Damascelli, Associate Professor of International Law at the University of Salento ; Civil Law Notary in Bologna ; Richard Frimston, Solicitor and Notary Public, Russell-Cooke LLP, London ; Paul Lagarde, Emeritus Professor, Panthéon-Sorbonne University, Paris (Paris 1) ; member of the Institute of International Law, Paris ; Barbara Reinhartz, Professor of Family Law, in particular Family Property Law, Amsterdam University, Amsterdam.
2019
KJE1162 .B47 2019 (Mapit)
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Title
The EU regulations on matrimonial and patrimonial property / Ulf Bergquist, senior partner in Bergquist & Partners law firm, Stockholm ; Domenico Damascelli, Associate Professor of International Law at the University of Salento ; Civil Law Notary in Bologna ; Richard Frimston, Solicitor and Notary Public, Russell-Cooke LLP, London ; Paul Lagarde, Emeritus Professor, Panthéon-Sorbonne University, Paris (Paris 1) ; member of the Institute of International Law, Paris ; Barbara Reinhartz, Professor of Family Law, in particular Family Property Law, Amsterdam University, Amsterdam.
Added Author
Edition
First edition.
Imprint
Oxford, United Kingdom ; New York, NY : Oxford University Press, 2019.
Description
xxxi, 397 pages ; 26 cm
Summary
Today there are no common international rules as to which state's law shall be applied when a married couple have connections with more than one state e.g. British citizens living in France. Each state has its own so called private international law rules (PIL), leading to conflicts of laws. There are no common rules as to which court has jurisdiction and Court decisions are normally not recognized in other states. Since, today millions of people live in a state other than their state of citizenship or have assets in states other than where they are living, the EU has seen the urgent need for an EU-Regulation on matrimonial property and a parallel Regulation for registered partners. The Regulation does not provide any common material matrimonial law in the EU, but common PIL that sets out which state's matrimonial law shall be applied, which state's court shall have jurisdiction and that court decisions in one state shall be recognized and enforceable in other EU states. This volume is an article-by-article commentary on the Regulations which have been adopted by the EU Council on June 24th 2016 and will come into force on January 29th 2019.
Note
Today there are no common international rules as to which state's law shall be applied when a married couple have connections with more than one state e.g. British citizens living in France. Each state has its own so called private international law rules (PIL), leading to conflicts of laws. There are no common rules as to which court has jurisdiction and Court decisions are normally not recognized in other states. Since, today millions of people live in a state other than their state of citizenship or have assets in states other than where they are living, the EU has seen the urgent need for an EU-Regulation on matrimonial property and a parallel Regulation for registered partners. The Regulation does not provide any common material matrimonial law in the EU, but common PIL that sets out which state's matrimonial law shall be applied, which state's court shall have jurisdiction and that court decisions in one state shall be recognized and enforceable in other EU states. This volume is an article-by-article commentary on the Regulations which have been adopted by the EU Council on June 24th 2016 and will come into force on January 29th 2019.
Bibliography, etc. Note
Includes bibliographical references and index.
Call Number
KJE1162 .B47 2019
Language
English
ISBN
9780198826552 hardcover
0198826559 hardcover
0198826559 hardcover
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