Jorg Sladič Sladič US Class Actions and European Models of Collective Redress Proceedings

US Class Actions and European Models of Collective Redress Proceedings

von Jorg Sladič

Two Different Approaches for the Handling of Mass Harm Situations

Preis unbekannt

Buch in deiner Nähe kaufen


...oder deine aktuelle Postleitzahl eingeben:
oder

Beschreibung

The book deals in redress for mass harm in modern legal orders on both sides of the Atlantic. The US have created class actions. Europe prefers a mix of public and private tools for redress of mass harm including collective redress or representative actions. Managerial judges, entrepreneurial lawyers, contingency fees, absence of cost shifting rules in the US and notice pleadings are examined. Lack of managerial judging and traditional prohibition of entrepreneurial lawyering in many nations in the EU is discussed. Contingency fees (pacta de quota litis) are not yet generally accepted in the EU collective redress where cost-shifting rules (the loser pays principle) are applied. The fundamentally different approach between the US and Europe suggests that EU collective redress does not have the same significance as the US class action thus making copy-pasting of US experience in class action very questionable.


The book deals in redress for mass harm in modern legal orders on both sides of the Atlantic. The US have created class actions. Europe prefers a mix of public and private tools for redress of mass harm including collective redress or representative actions. Managerial judges, entrepreneurial lawyers, contingency fees, absence of cost shifting rules in the US and notice pleadings are examined. Lack of managerial judging and traditional prohibition of entrepreneurial lawyering in many nations in the EU is discussed. Contingency fees (pacta de quota litis) are not yet generally accepted in the EU collective redress where cost-shifting rules (the loser pays principle) are applied. The fundamentally different approach between the US and Europe suggests that EU collective redress does not have the same significance as the US class action thus making copy-pasting of US experience in class action very questionable.


Focuses on redress for mass harm in modern legal orders Deals with the different approaches between the United States and Europe regarding collective redress Explores adapting U.S. class action practices to shape a European collective redress model for mass harm

Autor*in

Jorg Sladič

Themen in »US Class Actions and European Models of Collective Redress Proceedings«

Civil Procedure Collective Redress Class Actions ADR Directive (EU) 2020/1828 Federal Rules of Civil Procedure Comparative Civil Procedure

Stimmen zu »US Class Actions and European Models of Collective Redress Proceedings«

Details

ISBN: 9783032176509
Verlag: Springer International Publishing
Erscheinung: 19.02.2026

Link teilen


Über buchnah.de | Die Buchhandlungen | Die Verlage | Impressum & Kontakt | Datenschutz | Presse


Auf dieser Seite kannst Du Buchhandlungen in der Nähe finden