Abstract: It is not possible to consider all the details of the shareholder law of the various legal systems under review. Accordingly, proceeding in principled fashion, I will start with a consideration of what ‘type’ of shareholder the law focuses on. Using this methodology, I will then determine how the typical features of the shareholder's position have been reflected in the laws of the UK, the US, Germany, France, Japan and China (Chs. 5, 6).
Publication Year: 2007
Publication Date: 2007-12-20
Language: en
Type: book-chapter
Indexed In: ['crossref']
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