Description

Book Synopsis
Legal rules and principles do not exist in isolation, but form part of a system. In this structural comparison between English and German law, Birke Häcker explores the rules and principles governing impaired consent transfers of movable property and their reversal in two- and three-party situations. This book is a re-publication of a work first published by Mohr Siebeck in Germany.

Table of Contents
Part One: Setting the Scene Chapter I: Introduction A. Aim of Project and Methodology B. Scope of Inquiry C. Structure of Book and Main Theses Chapter II: Basic Principles Compared and Contrasted A. Introduction B. Basic Principles of Contract Law C. Basic Principles of the Law Relating to Unjust(ified) Enrichment D. Basic Principles of Property Law E. No Conclusion Part Two: Two-Party Situations Chapter III: German Law and the Consequences of Abstraction A. Introduction B. Relationship between Contract and Conveyance C. Contract Void, but Conveyance Valid D. Invalidity of both Contract and Conveyance E. Competing Wrongs-Based Claims F. Summary Chapter IV: Personal and Proprietary Restitution under English Law A. Introduction B. Operation of the Unjust Factor Regime C. Relationship between Personal Claims to Restitution for Unjust Enrichment and (Vested) Property Rights D. Availability and Form of Proprietary Restitution E. Competing Wrongs-Based Claims F. Summary Chapter V: Comparative Observations on Two-Party Cases A. Introduction B. Scope of Recovery C. Separation and Abstraction in English Law D. Reflections on 'Proprietary Restitution' E. Summary Part Three: Three-Party Situations Chapter VI: The Position of Third Party Purchasers A. Introduction B. Extensive Proprietary Protection of Third Parties in German Law C. The Relatively Weak Position of Third Parties in English Law D. Comparative Observations on the Position of Third Party Purchasers E. Summary Chapter VII: The English Third Party Rights Bar to Rescission A. Introduction B. Background C. The Third Party Rights Bar in Operation D. Abolition of the Third Party Rights Bar E. Summary Chapter VIII: Claiming Substitute Assets from the Transferee (and Third Parties) A. Introduction B. Tracing and Disgorgement Damages in English Law C. Limited Personal Rights to Substitutes under German Law D. Comparative Observations on Claims to Substitute Assets E. Summary Part Four: Summing Up Chapter IX: Conclusion

Consequences of Impaired Consent Transfers: A Structural Comparison of English and German Law

    Product form

    £999.99

    Includes FREE delivery

    A Hardback by Birke Häcker

    Out of stock

      Trusted by thousands of customers. See 2,385+ Customer Reviews

      View other formats and editions of Consequences of Impaired Consent Transfers: A Structural Comparison of English and German Law by Birke Häcker

      Publisher: Bloomsbury Publishing PLC
      Publication Date: 25/11/2013
      ISBN13: 9781849465656, 978-1849465656
      ISBN10: 1849465657

      Description

      Book Synopsis
      Legal rules and principles do not exist in isolation, but form part of a system. In this structural comparison between English and German law, Birke Häcker explores the rules and principles governing impaired consent transfers of movable property and their reversal in two- and three-party situations. This book is a re-publication of a work first published by Mohr Siebeck in Germany.

      Table of Contents
      Part One: Setting the Scene Chapter I: Introduction A. Aim of Project and Methodology B. Scope of Inquiry C. Structure of Book and Main Theses Chapter II: Basic Principles Compared and Contrasted A. Introduction B. Basic Principles of Contract Law C. Basic Principles of the Law Relating to Unjust(ified) Enrichment D. Basic Principles of Property Law E. No Conclusion Part Two: Two-Party Situations Chapter III: German Law and the Consequences of Abstraction A. Introduction B. Relationship between Contract and Conveyance C. Contract Void, but Conveyance Valid D. Invalidity of both Contract and Conveyance E. Competing Wrongs-Based Claims F. Summary Chapter IV: Personal and Proprietary Restitution under English Law A. Introduction B. Operation of the Unjust Factor Regime C. Relationship between Personal Claims to Restitution for Unjust Enrichment and (Vested) Property Rights D. Availability and Form of Proprietary Restitution E. Competing Wrongs-Based Claims F. Summary Chapter V: Comparative Observations on Two-Party Cases A. Introduction B. Scope of Recovery C. Separation and Abstraction in English Law D. Reflections on 'Proprietary Restitution' E. Summary Part Three: Three-Party Situations Chapter VI: The Position of Third Party Purchasers A. Introduction B. Extensive Proprietary Protection of Third Parties in German Law C. The Relatively Weak Position of Third Parties in English Law D. Comparative Observations on the Position of Third Party Purchasers E. Summary Chapter VII: The English Third Party Rights Bar to Rescission A. Introduction B. Background C. The Third Party Rights Bar in Operation D. Abolition of the Third Party Rights Bar E. Summary Chapter VIII: Claiming Substitute Assets from the Transferee (and Third Parties) A. Introduction B. Tracing and Disgorgement Damages in English Law C. Limited Personal Rights to Substitutes under German Law D. Comparative Observations on Claims to Substitute Assets E. Summary Part Four: Summing Up Chapter IX: Conclusion

      Recently viewed products

      © 2026 Book Curl

        • American Express
        • Apple Pay
        • Diners Club
        • Discover
        • Google Pay
        • Maestro
        • Mastercard
        • PayPal
        • Shop Pay
        • Union Pay
        • Visa

        Login

        Forgot your password?

        Don't have an account yet?
        Create account