2 research outputs found
Implementation of the eu Regulation 650/2012 into the Albanian Legal System
Due to the free movement of people as well as international marriages, succession
law is facing new challenges since it includes an estate spanning different countries.
Based on Art. 81, para. 2, TFEU, on 4 July 2012, the EU adopted Regulation (EU)
no. 650/2012 to govern cross-border succession. The paper considers the EU’s impact
on the Albanian legal system in cross-border succession matters. The findings
here discuss the similarities and differences between the acquis communautaire and
Albanian succession private international law
Succession Contracts for Family Firms in Italy and Albania. A European Private International Law Approach
In recent decades there has been an increase in longevity as well as a higher interest in the
intergeneration of business transfer within a family. As a result, both European and national
legislatures have been focusing on allowing this type of transfer before death. While the EU
legislature stimulated this approach through the Commission Recommendation of 7 Decem ber 1994 on the transfer of small and medium-sized enterprises (Rec. 94/1069/EC), the Italian
legislature fulfilled it only in 2006. Unfortunately, Albania does not provide any exception
to the absolute invalidation of succession contracts. This paper does not aim to provide an
extensive analysis of the various forms of succession of family firms in these two countries.
This scientific contribution rather applies a legal comparison and a case-law study to inves tigate the impact of EU law on the national legislation by only focusing on the application
of European private international law perspective. The contribution underlines the different
approaches between these two countries since Italy has harmonized its own legislation with
the EU soft-law and it has also ratified the Convention on the Law Applicable to Trusts and
their Recognition of 1 July 1985. On the contrary, Albania has not ratified this international
treaty, and its legislation is not aligned with the Rec. 94/1069/EC