Comparative conflict of laws / by R. H. Graveson.
Amsterdam ; New York : North-Holland Pub. Co. ; New York : distributors for the U.S.A. and Canada, Elsevier/North-Holland, 1977.
xviii, 379 pages ; 23 cm.
His Selected essays ; v. 1.
Formatted Contents Note
The special character of English private international law. Philosophical aspects of the English conflict of laws Judicial justice as a contemporary basis of the English conflict of laws. The judicial unification of private international law. Choice of law and choice of jurisdiction in the English conflict of laws. The domicile of a widow in the English conflict of laws. Capacity to acquire a domicile. The law of domicile in the twentieth century. Nullity jurisdiction of the forum celebrationis. The formal validity of wills in English private international law. Towards a modern applicable law in tort. Fraud in foreign judgments. The comparative evolution of principles of the conflict of laws in England and the U.S.A. Problems of private international law in non-unified legal systems.
Bibliography, etc. Note
Includes bibliographical references and index.