This work represents a systematic and practical analysis of the
relevant rules, matter and terminology of international sales law.
Written for practitioners as well as researchers and students the
manual offers a comprehensive and in-depth overview of the relevant
legal international and national regulations, taking into account
the practice-relevant topics and the relevant soft law regulations.
The international and comparative law character of the work is
reflected in the consideration of such international regulations
such as the CISG, the Principles of European Private Law (PECL),
the Principles of International Commercial Contracts (UNIDROIT
principles) and the proposal to create a common European Sales law
(GEK) from the year 2011. In addition, an overview of the
differences in terms of the purchase option between common law and
civil law jurisdictions and between each important national right
is offered.
General
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