Abstract
This thoughtful contribution to American and German legal literature provides valuable insights for a reader interested in comparing the decisionmaking methodology under the West German and American systems of antitrust law. The work also provides a broader discussion of key distinctions between the jurisprudential and systematic foundations of West Germany’s continental legal system and those of the Anglo-American common law system.
Recommended Citation
W. David Braun,
Maxeiner, Policy and Methods in German and American Antitrust Law: A Comparative Study,
10 Fordham Int'l L.J. 359
(1986).
Available at: https://ir.lawnet.fordham.edu/ilj/vol10/iss2/8