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Secured Lending in Eastern Europe: Comparative Law of Secured Transactions and the EBRD Model Law, by Jan-Hendrik Röver. Oxford: Oxford University Press, 2007, xxxii + 320 + (appendices + bibliography + index) 62pp (£125 hardback). ISBN 978-0-19-826013-4.

Published online by Cambridge University Press:  02 January 2018

Noel McGrath*
Affiliation:
UCD School of Law

Abstract

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Type
Book Review
Copyright
Copyright © Society of Legal Scholars 2008

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References

38. Report of the Committee on Consumer Credit (1971) Cmnd 1749 (the Crowther Commission). See also the Report by Working Party on Security over Movable Property (1986) (the Halliday Report); Insolvency Law and Practice (1982) Cmnd 8558 (The Cork Committee); Diamond, Al, A Review of Security Interests in Personal Property (London: HMSO, 1989).Google Scholar

39. See Company Security Interests: a Consultative Report, 2004, LC CP 176; the Law Commission ultimately recommended a less ambitious approach to company security interests in its 2005 report (Company Security Interests, 2005, Law Com No 296). The Irish Law Reform Commission appears to be about to add to the list of reports and proposals in this part of the world, having scheduled an examination of the attachment of security interests in personal property for inclusion in its Third Programme of Law Reform 2008–2014.

40. Bulgaria, Romania, the Czech and Slovak Republics, Hungry, Poland and Russia.

41. Röver, p 4

42. Ibid, Chapter 3 discussed in detail below.

43. This is somewhat confusingly referred to as a charge, though as is pointed out at p 76, the EBRD charge has no relation to its English equivalent.

44. Röver, p 25.

45. Ibid.

46. Röver, p vii.