Year
1985
Country
United States
Language
English
Abstract
The civil law of France, the common law of the United States, and the Islamic legal system can be viewed comparatively with respect to their policies on contractual mistakes. An evaluation of the Islamic solution for dealing with mistakes suggests that it may not have much of a future in the modern world. Modern societies seek to enhance the security of transactions.
English
ISSN/ISBN
0737-8947
No. of Pages
pp.325-344
Number
2
Volume
3
Select type of work
Name of the Journal
CIS Program Old
CIS publications
No
CIS Thesis
No