The Marriage Legislation in the French and Dutch Civil Code [PDF]
This paper focuses on the historical backgrounds of the marital power in the marriage legislation in the French Civil Code via the works of Robert Joseph Pothier.
Emese von Bóné
doaj +4 more sources
Contract theory in the amended French civil code and in Qatari Civil code: A comparative study
This paper seeks to determine the relationship between the Qatari Civil Code of 2004 and the French Civil Code; as the Qatari Civil Code is influenced by the provisions of the French Civil Code prior to the 2016 reform concerning the theory of contract ...
فوزي بن أحمد بالكناني
doaj +7 more sources
A Comparison of Majalla's Kitab al-Buyu‘ and the French Civil Code
This article will first examine the views preferred by the Majalla Commission to the main fatwā in order for Kitab al-Buyu to be regulated with the provisions in accordance with the needs of the century.
İlknur Yaşar Bilicioğlu
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Civil Code or Persian Jurisprudence (Fiqh): Review of the resources and structure of the Iranian Civil Code [PDF]
The Iranian civil code is a legal and cultural masterpiece which has an important role in Iranian law system. It is the result of the Compatibility between tradition and modernity. It has been based on the rule of the Islamic Jurisprudence or Islamic law
Mahmoud Kazemi
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The Civil Code of Japan Compared with the French Civil Code [PDF]
I. I propose in these lectures to treat of the reasons that led to the adoption of the Japanese Civil Code; to give a brief sketch of the history of its compilation, and then to compare it with the French Civil Code making at the same time occasional references to the German Civil Code.
exaly +2 more sources
A Comparative Study on New Claim in the Appeal Process in Iranian and French Laws [PDF]
The principle of prohibition of submitting a new claim in the appeal process is one of the governing principles in the court of appeals that is stipulated in Article 362 of the Code of Civil Procedure.
syed hosein vaseghi +2 more
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The Set-off in French and German Legal Systems with an Approach to"Ghahri" Set-off in Iranian Law [PDF]
The objective of this research is a study of the set-off in french and german Legal Systems with an approuch to"Qhahri" set-off in Iranian law. This is an anatical-descriptive Study.
Ahmad Esfandiari
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Mihailo Konstantinović on working on the Civil Code in inter-war Yugoslavia [PDF]
The paper analyses the work on the codification of the civil code in interwar Yugoslavia and Mihailo Konstantinović's opinion of that work, which lasted almost a decade and a half but did not lead to the adoption of the code.
Mirković Zoran S.
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FRENCH CODE-MIXING IN ARABIZI ON SOCIAL MEDIA PLATFORM
This research paper explores the phenomenon of French code mixing in Arabizi within the Facebook group 'OFPPT: BTP & GÉNIE CIVIL.' The group comprises Arabic-speaking technicians and engineers from Morocco.
Arif Rakhman, Yoyo Yoyo
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Transfer of Nonexistent Property and its Effects in lease contract in Emamieh Jurisprudence, Iran’s Law, and French Law: A Comparative Study [PDF]
In French law, ownership is the legal relation between a person and an object. Accordingly, a lease contract is not deemed a possessory contract proper. Because the property interests are actually nonexistent (i.e. imaginary) and intangible.
Mohammad Riyahi +1 more
doaj +1 more source

