BROOKINGS INSTITUTION, THE, THE IN TERNATIONAL STUDIES GROUP. Anglo- American Economic Relations: A Prob lem Paper. Pp. vi, 74. Washington, D. C.: The Brookings Institution, 1950

Author(s):  
Frank M. Russell
1946 ◽  
Vol 6 (01) ◽  
pp. 23-34
Author(s):  
A. F. Murray

Ever since the abrupt announcement that Lend Lease was to be discontinued, the attention of the British public has been focused on Anglo-American economic problems. So furious has been the spate of articles (well informed and otherwise) launched by the Press, and so vociferous have been the supporters of wholly divergent views, that most people must by this time be heartily sick of the whole subject. I must therefore apologize for inflicting upon the Society the subsequent remarks on such a well-worn theme, but in self-defence would explain that the subject was chosen before the recent clamour and shouting arose.


1951 ◽  
Vol 27 (3) ◽  
pp. 358-358
Author(s):  
A. J. Brown

1945 ◽  
Vol 16 (2) ◽  
pp. 116-123
Author(s):  
George Soule

Lex Russica ◽  
2021 ◽  
pp. 134-143
Author(s):  
I. I. Zikun

The paper describes possible ways to reform the rules on trust management agreements in connection with the upcoming reform of Part II of the Civil Code of the Russian Federation. Currently, the reform of this part of the Civil Code of the Russian Federation is being carried out in relation to financial transactions, but the rules on intermediary transactions have not been changed, while the situation is complicated by the fact that the reform of property law has not taken place. The improvement of the provisions of Chapter 53 of the Civil Code of the Russian Federation on trust management agreements is due to the development of economic relations for the management of corporate rights, securities, investments, pension contributions, the emergence of a number of new forms of investment activity, as well as a significant difference in the relationship of "consumer management" of property in family and inheritance law (management by virtue of the law), as well as "professional management" of property in investment and other business areas (voluntary transfer of property to management).The Anglo-American experience of the trust, as well as other models of "trust property" cannot be borrowed by Russian law in any form. The ownership right must remain unitary and cannot take any form. In view of this, the paper suggests using European alternative models of managing someone else's property in the form of mandatory legal institutions for conducting someone else's business using various forms of representation (direct and indirect) instead of the Anglo-American trust. The author considers the possibility of differentiating the professional and non-professional regime of managing someone else's property, the nature of the beneficial interest, the rules of segregation of the management object and the nature of the trustee's responsibility.


Author(s):  
Volker R. Berghahn

This chapter traces how American business relations with the two major industrial powers of Europe developed up to 1914. It shows how American economic ties with Britain had been weakening for several years, but then saw a restrengthening as the political threat of a major war loomed larger and larger on the horizon. The Anglo-American relationship became close and in this sense “special” at the outbreak of hostilities between Britain and Germany in August 1914. Meanwhile German–American economic relations, which, despite many political difficulties, had been intensifying after the turn of the century, became antagonistic in the summer of 1914, even if it took until April 1917 for Washington formally to enter the world conflict on the Allied side against Berlin and Vienna.


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