Corporate control in foreign law orders

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The work analyzes the essence of corporate control in foreign legal orders, and examines models of such control designed depending on the prevailing ownership regime of corporations. The distinctive features of corporate control in the states of the Anglo-Saxon legal family of the USA and Great Britain - states with rich experience in regulating corporate relations - have been studied. A comparative analysis of corporate control and corporate governance is carried out, and a conclusion is made that these concepts are not identical. The features of control and management in corporations are identified depending on the models of broad or dominant ownership. Describes the takeover mechanism that is in demand in corporate control.

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Corporation, corporate control, corporate governance, widespread ownership, dominant ownership, corporate management, acquisition, investment, restoration of corporate control

Короткий адрес: https://sciup.org/170205050

IDR: 170205050   |   DOI: 10.24412/2500-1000-2024-5-1-110-113

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