Secured finance law in China and Hong Kong
Material type: TextPublication details: New York Cambridge University Press 2010Description: xxx,419pISBN:- 9780521519342
- 346.740951 22 WI-S
Item type | Home library | Collection | Call number | Status | Date due | Barcode | |
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OPJGU Sonepat- Campus Main Library | General Books | 346.740951 WI-S (Browse shelf(Opens below)) | Available | 112422 |
Browsing OPJGU Sonepat- Campus shelves, Collection: General Books Close shelf browser (Hides shelf browser)
346.74 FL-R Reforming collateral laws to expand access to finance | 346.74 GO-G Goode on legal problems of credit and security | 346.74 MO-R Rowlatt on principal and surety | 346.740951 WI-S Secured finance law in China and Hong Kong | 346.740973 BR-P Problems and cases on secured transactions | 346.77 FR-I International commercial debt collection | 346.77 SE- Set off law and practice an international handbook |
Includes bibliographical references and index.
Machine generated contents note: 1. Introduction; 2. Security over tangible personal property; 3. Security over intangible personal property; 4. Company security over personal property; 5. Hire-purchase, leasing and conditional sale of tangible personal property; 6. Priority of security interests over personal property; 7. Enforcement and remedies of the creditor; 8. Conclusion.
"This book examines systematically the current systems of secured lending in China and Hong Kong, where companies or individuals offer personal property as security for credit advanced by a lender. Valid and enforceable security reduces the risk to the lender and so lowers the cost of credit to the borrower. However, the Hong Kong system, being largely derived from English law, is highly complex and in need of root-and-branch reform. The forces of inaction have triumphed and valuable opportunities to create a modern, rational and efficient system have been squandered. In China, on the other hand, a completely new system has been created in the last twenty years which, whilst it has various problems and defects, has some notable advantages over the common law equivalent found in Hong Kong"--
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