The United Nations Convention on Contracts for the International Sale of Goods (CISG) entered into force in Turkey on 01 August 2011, making the CISG an applicable national law regarding the international sale of goods, therefore rules on passing of risk according to CISG and its consequences have special importance for Turkish law. On the other hand, when the new Turkish Code of Obligations (TBK) numberred 6098, enters into force rules on passing of risk will fundamentaly change analogous with the CISG. In this respect, this paper aims to analyse the diferrences and correspondencies between the CISG and the TBK
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