Takeover Law in the EU and the USA —— A Comparative Analysis

----- 欧盟收购法与美国收购法:比较分析

ISBN: 9789041119193 出版年:2002 页码:202 Forstinger, Christin M Kluwer Law International

知识网络
知识图谱网络
内容简介

The societal benefits of takeovers–in the form of enhanced competition and productivity–have been well documented. Moreover, many scholars believe that the very possibility of a hostile takeover urges incumbent management to be more productive, thus ultimately enhancing shareholder welfare. Starting from such premises as these, Dr. Forstinger offers an in-depth comparative analysis of takeover law as it exists in the United States and as it is currently developing in Europe. The latter emphasizes the failed takeover directive of 2001, as its content is already determining new proposals currently in preparation.Among the salient topics that arise in the course of the discussion are the following:the conflicting interests of the various stakeholders-shareholders, managers, employees, creditors, governments, 'raiders', and others; the state competition question from the U.S. perspective and the prospects of a market for incorporations in the EU; the tension between harmonization and regulatory competition in context with takeover laws; and the focus on current takeover regulation in the UK, Germany and Austria. The study concludes with recommendations for reflexive harmonization of takeover law in the European Union responding to the complex needs of the diverse corporate law systems of the member states. All company lawyers and corresponding regulators--especially but not exclusively in Europe--will appreciate the clear scholarship and thought that are apparent in this very current book.

Amazon评论 {{comment.person}}

{{comment.content}}

作品图片
推荐图书