カテゴリー 全て - religious - private - public - roman

によって Donald A. Morrison 12年前.

1774

Topic 2 - Legal Systems and Classifications of Law

Various legal systems and their classifications are explored, highlighting their diverse origins and characteristics. Legal systems are categorized into families such as socialist and religious, with subcategories including Jewish, Canon, and Islamic laws, each based on religious texts.

Topic 2 - Legal Systems and Classifications of Law

Topic 2 - Legal Systems and Classifications of Law

(Hisrorical) secular, as opposed to Canon or ecclesiastical law
Relating to private litigation or action
Legal system, derived from Roman law
(England) law rather than Equity
No counterpart in Scots law

However Court of Session's power of nobile officium

Equity administered by Court of Chancery. Provision of discretionary equitable remedies where ordinary courts could not give a remedy
Case law
Type of Legal system, derived from English law

Court Processes

Tribunals

Public and private legal areas

Lesser form of judicial decision making

More inquisitorial approach

Speed

Cheaper

Informality

Expertise

Judicial review

Was process to arrive at decision lawful?

Criminal
Malum in se/Malum prohibitum
Finding of guilt
Beyond reasonable doubt
State taking action against individual

Limited scope for private prosecution

Crown office - procurators fiscal, Lord Advocate

Civil
Finding of liability
Balance of probabilities
Pursuer and defender
Disputes within private law

Classifications of Laws

Walker ch 5

Private
Relationship between individuals

Delict

Property

Contract

Commercial

Company

Family

Sucession and Trusts

Public
Relationship between individuals and state
Examples

Public International Law

Revenue

Constitutional

Administrative

Criminal

Roman law

Ius naturale
Nature and morality
Ius gentium
Foreigners
Ius civile
Amongst citizens
Law of actions
Law of property
Law of persons

Scots Law

Drawn from civilian and common law traditions - mixed legal system.

Tb Smith English influences on the law of Scotland (1954) 3 am j of comparative law 522

Cross fertilisation

Scottish influence eg negligence

Civil law

Delict

Tort in England - made up of many individual causes of action.

Liability dependant on identifying correct tort.

Wrong choice, no remedy.

Bringing case into the circumstances held to be necessary to establish tort.

Examples

Trespass

Person

Chattels

Land

Assault

Battery

False imprisonment

Defamation

Roman law principle - defender must make reparation for the wrongful loss

Common law

Commercial law

Classification of Legal Systems

Legal Families
Socialist
Religious

Canon

Jewish

Based on religious text

Islamic

Difficulties in import and export of rules

Possible to learn from other jurisdictions
Comparative law
Desire to harmonise law across Europe
Relationship between jurisdictions in same legal family

Common Law

The common and the civil law - a scot's view (1950) 63 harv lr 468, heinnonline

Detailed rules
Taught via observation /apprenticeship
Historically based on remedies

Emphasis on past decisons

Eventual deduction of principles from body of past cases

Common factors identified

Inductive reasoning

Recording of judgements

Stare decisis

Piecemeal

Adversarial
Parties responsible for putting forth facts and legal arguments
US
Commonwealth

Civil Law

EU based on civilian tradition.
Civil influence on UK
Significant influence on Public International Law
Inquisitorial
Judicial investigation of facts
Based on general principles
Laws often set out in systematic codes
Rights and duties implied/derived

Deductive reasoning

Derived from Roman law
Traditiolly taught in universities

Organised by lecturers to be systematicsystematic and comprehensive

Discovery of Corpus Juris at University of Bologna

Europe

Exported

Spanish /Portuguese

South America

French

North America

Quebec

Only Civil law jurisdiction in Canada

Louisiana

Dutch

South Africa

Content and structure vary between states.

Restrictions on right to practice
Legal qualifications not generally transferable
Morality/needs of society
Differing standards of legality, eg chewing gum in Singapore