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"Reform in the Private International Law of Divorce: A Comparative Study of Two Recent Codes"

This article presents an in-depth comparative analysis of two draft codes: the Royal Commission’s Draft Code on Jurisdiction and Recognition (UK, annexed to the Report of the Royal Commission on Marriage and Divorce (1951-1955)) and the Draft Family Code (Israel). The author focuses on the comparative insights that may be gained from the Israeli Draft Code in regard to the concept of domicile, jurisdiction in divorce and nullity suits, as well as the recognition of foreign marriages and divorces.

Author
BD Inglis
Published in
McGill Law Journal
Year
1958
Volume
4
Pages
42-65

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