European private international law and member state treaties with third states : the case of the European Succession Regulation /
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Imprint: | Cambridge : Intersentia, [2019] ©2019 |
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Description: | xxiv, 465 pages ; 25 cm |
Language: | English |
Subject: | |
Format: | Print Book |
URL for this record: | http://pi.lib.uchicago.edu/1001/cat/bib/11920257 |
Table of Contents:
- Foreword
- List of Treaties and Conventions
- List of Abbreviations
- List of Contributors
- Introduction
- Questionnaire
- Part I. The Perspective Of Eu Member States
- Austria
- 1. Introduction
- 2. Private International Law
- 3. Procedural Issues
- 4. The Future
- 5. Conclusion
- Belgium
- 1. Introduction
- 2. Conventions Taking Precedence Over the European Succession Regulation
- 3. Private International Law Code
- 4. Practical Problems Related to the Absence of Bilateral Conventions or Treaties
- 5. Conclusion
- Croatia
- 1. Introduction
- 2. Treaty with the Soviet Union Taking Precedence Over the European Succession Regulation
- 3. Conflict of Laws
- 4. Procedural Issues
- 5. The Future of the Treaty with the Russian Federation
- Czech Republic
- 1. Introduction
- 2. Treaties and Conventions Taking Precedence Over the European Succession Regulation
- 3. Private International Law
- 4. Procedural Issues
- 5. The Future of Existing Treaties with Third States
- 6. Conclusion
- Finland and Sweden
- 1. Introduction
- 2. Treaties and Conventions Taking Precedence Over the European Succession Regulation
- 3. The Nordic Inheritance Convention
- 4. Concluding Remarks
- France
- 1. Introduction
- 2. The Ambiguous Reference to Statut Personnel in International Treaties
- 3. The 1957 Judicial Convention between France and Tunisia
- 4. The Conventions d'Établissement Concluded between France and its Former Colonies in Africa
- 5. Other Possibly Relevant Conventions
- 6. Closing Remarks
- Germany
- 1. Introduction
- 2. Treaties and Conventions Taking Precedence Over the European Succession Regulation
- 3. Private International Law
- 4. Procedural Issues
- 5. The Future of the Existing Treaties with Third States
- 6. Conclusion
- Italy
- 1. Introduction
- 2. Conventions Taking Precedence Over the European Succession Regulation
- 3. The Impact of the Conventions Concerned on the Operation of the European Succession Regulation in Italy
- Part II. The Perspective Of Third States
- Bosnia and Herzegovina, Serbia, North Macedonia and Montenegro
- 1. Introduction
- 2. A Few Remarks on National Private International Law Rules in Succession Matters
- 3. Bilateral Treaties
- 4. Private International Law: Conflict-of-Laws Rules of the Treaties
- 5. Procedural Rules
- 6. The Future of Existing Bilateral Agreements
- Iran
- 1. Introduction
- 2. Historical Setting of the Enactment of the Treaties
- 3. The Treaties
- 4. Conclusion
- Switzerland
- 1. Introduction
- 2. Article 17 of the 1868 Treaty between Italy and Switzerland
- 3. Article 10 of the 1927 Treaty between Greece and Switzerland
- 4. Conclusion
- Turkey
- 1. Introduction
- 2. Background of the Treaties
- 3. Scope of Application of the Treaties
- 4. Private International Law of the Treaty Regimes
- 5. Procedural Issues of the Treaty Regimes
- 6. The Future of the Treaties
- 7. Conclusion
- Part III. The Perspective Of The European Union And A Comparative Outlook
- The Perspective of the European Union
- 1. The Interests of the European Union
- 2. Superseding the Third State Treaties?
- 3. Adjusting European Private International Law to the Third State Treaties?
- 4. Termination or Revision of the Treaties?
- 5. Agreements of the European Union with Third States
- 6. Conclusion
- Comparative Report and Policy Perspectives Wolfgang Wurmnest
- 1. Introduction
- 2. Instruments Taking Precedence Over the Succession Regulation: A Survey
- 3. Impact on the Succession Regulation
- 4. Are there Compelling Reasons to Maintain the Treaty Law as it is?
- 5. Policy Perspectives
- 6. Conclusion
- Annex (see also List of Treaties on page xiii)
- Index