Abstract
This article highlights the differences in approach to the creation of security interests and to title transfers under English and Dutch law in light of the aims of the Financial Collateral Directive to harmonise national rules.
Original language | English |
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Pages (from-to) | 365-368 |
Number of pages | 4 |
Journal | Butterworths Journal of International Banking and Financial Law |
Volume | 29 |
Issue number | 6 |
Publication status | Published - 1 Jun 2014 |
Keywords
- Financial collateral