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Comparative Corporate Governance [electronic resource] : Shareholders as a Rule-maker / by Petri Mäntysaari.

By: Contributor(s): Publisher: Berlin, Heidelberg : Springer Berlin Heidelberg, 2005Description: XI, 445 p. online resourceContent type:
  • text
Media type:
  • computer
Carrier type:
  • online resource
ISBN:
  • 9783540264606
Subject(s): Genre/Form: Additional physical formats: Printed edition:: No titleDDC classification:
  • 340.9 23
  • 340.2 23
LOC classification:
  • K7000-7720.22
  • K7073-7078
Online resources:
Contents:
Comparative Law and Corporate Governance -- The Law of the European Union -- The United Kingdom -- Germany -- Comparison.
In: Springer eBooksSummary: It is fairly easy for a Finnish Jurist to understand German Company law. On the other hand, UK Company law seems very confusing. What is even more confusing is that the UK corporate govemance model is often regarded as one of the best in the World. Clearly German law cannot be as bad as it is often said to be. This books results from these kinds of thoughts and an interest in comparative law, Company law and securities markets law. I wanted to find out whether the functional method would give anything new to say about the regulation of corpo­ rate govemance in Germany and the UK. As I have been lecturing on Company law and corporate govemance myself, I also wanted to write a book that I could use as a textbook in my courses. For this reason, I focused on one of the key questions in corporate govemance: the regula­ tion of shareholder activism.
Item type: eBooks
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Comparative Law and Corporate Governance -- The Law of the European Union -- The United Kingdom -- Germany -- Comparison.

It is fairly easy for a Finnish Jurist to understand German Company law. On the other hand, UK Company law seems very confusing. What is even more confusing is that the UK corporate govemance model is often regarded as one of the best in the World. Clearly German law cannot be as bad as it is often said to be. This books results from these kinds of thoughts and an interest in comparative law, Company law and securities markets law. I wanted to find out whether the functional method would give anything new to say about the regulation of corpo­ rate govemance in Germany and the UK. As I have been lecturing on Company law and corporate govemance myself, I also wanted to write a book that I could use as a textbook in my courses. For this reason, I focused on one of the key questions in corporate govemance: the regula­ tion of shareholder activism.

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