This book provides an analysis of the treatment of impossibility in
modern private law. The author explains the regulation of
impossibility in German, Swiss and Turkish laws with a comparative
analysis of the subject under (i) the United Nations Convention on
International Sale of Goods (CISG), (ii) UNIDROIT Principles of
International Commercial Contracts (PICC), (iii) Principles of
European Contract Law (PECL also known as the Lando-Principles),
(iv) Draft Common Frame of Reference (DCFR) and (iv) Common
European Sales Law (CESL).
General
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