A Comparison of UK, US and German Insolvency Codes
AbstractThe bankruptcy codes of the United States, the United Kingdom and Germany differ concerning who is permitted to control the debtor in bankruptcy and as to the ability of the debtor to arrange new financing while in bankruptcy. This study compares the efficiency of these three bankruptcy codes against a set of benchmarks.
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Bibliographic InfoArticle provided by Financial Management Association in its journal Financial Management.
Volume (Year): 25 (1996)
Issue (Month): 3 (Fall)
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Postal: University of South Florida 4202 E. Fowler Ave. COBA #3331 Tampa, FL 33620
Web page: http://www.fma.org/
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