Thomas Wazlawik compares the concepts of shareholder liability within the German GmbH and the American close corporation. He makes comparisons between both countries regarding the shareholder liability issue, paying special attention to parent-subsidiary relationships, and gives a critical analysis of liability laws in both legal systems.
Thomas Wazlawik compares the concepts of shareholder liability within the German GmbH and the American close corporation. He makes comparisons between both countries regarding the shareholder liability issue, paying special attention to parent-subsidiary relationships, and gives a critical analysis of liability laws in both legal systems. He also draws the reader's attention to some procedural and enforcement issues which are of special interest in the case of cross-border liability problems.
Thomas Wazlawik
Geboren 1968; Studium der Rechtswissenschaften; 2003 Promotion; Rechtsanwalt.
Konzernhaftung Handelsrecht Gesellschaftsrecht