Abstract

Abstract This introduction to central and eastern European secured transactions laws is based on a comparative overview. It will contrast central and eastern European laws with four western reference systems of secured transactions law: (1) the law of England and Wales; (2) US law; (3) German law; and (4) the EBRD Model Law on Secured Transactions and the EBRD Core Principles for a Secured Transactions Law. As far as the central and eastern European laws are concerned, the secured transactions laws of the seven Member States of the EBRD will be covered, namely the laws of Bulgaria, the Czech Republic, Hungary, Poland, Romania, the Russian Federation, and the Slovak Republic.

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