is that Mexico is a so called "civil law" country while the U.S. is a "common law" country.Mexico's civil law system is derived primarily from Roman law as set forth in the compilation of codes and statutes of the Emperor Justinian, called Corpus Juris Civilis, and later refined in the French or Napoleonic Code of 1804.Mexico's legal system is also influenced by colonial law (the Spanish and "Indian" law of Spain's colonization in the areas that became Mexico and other present day Latin American countries),Democratic Republic of thefederal democracyMexican legal system, it is useful to compare it to the U.S. legal system. A fundamental difference between the two legal systems is that Mexico is a so called "civil law" country while the U.S. is a "common law" country.In contrast, Mexico's civil law system is derived primarily from Roman law as set forth in the compilation of codes and statutes of the Emperor Justinian, called Corpus Juris Civilis, and later refined in the French or Napoleonic Code of 1804.Interestingly, the development of Mexican commercial law drew heavily on Italian law. Mexico's legal system is also influenced by colonial lawA Federation-style democracy, with the Central Government and local government. With the President as head of Government and head of the country. There is no Vice President has a tenure of 6 years.The country has faced economic problems, Mexico slump in 1980 and 1994, this is due to the country's export dependence on the crude oil is important. Make it Mexico must change policies more open country.
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