literature Comparative English summary

Comparative Analysis of Judgments on Corporate Personality Denial

公司法人人格否定制度之判决比较

Compares Chinese personality-denial doctrine with German direct-claim theory and U.S. veil-piercing judgments.

Brief English Introduction

This article uses comparative judgments to analyze China’s corporate personality-denial system. It draws on German and U.S. approaches to clarify China’s doctrine.

Teaching Notes

Use it for the comparative method: what exactly should China borrow from U.S. veil piercing or German direct-claim theory?