SSD |
IUS/02 Comparative private law |
Research interest |
- The harmonization of substantial succession law at European level, much further than harmonization of conflict law
- The prohibition of contractual succession in France and Italy seen as obstacle to trans mortem transmission of familiar wealth
- Hardship and Force Majeure clauses as ruled in Unidroit Principles on Commercial Contracts as model for National rules.
- The creation of a legal language and its interpretation by the literal rule: the application of multilingual regulations and the most common issues in legal translation
- The drafts and Regulation for the harmonization of immovable goods market at EU level
- European and USA citizenship compared: the differences in the acquisition and the loss of the two.
- Succession clauses in Corporation Bylaws in Italian and in French law: the legality of the different types regarding the prohibition of contractual succession
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Keywords |
European Succession Law – Hardship and force majeure clauses – Contractual wills – Legal language and legal translation – EU property Law – Interpretation of multilingual legal regulations – European Citizenship: acquisition and loss – Succession clauses in C |