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Corporate governance in the United States, Canada and France

The concept of "corporate governance", which has appeared in the United States, is however recently subject to vivid discussions across the world. The notion is understood differently in distinct jurisdictions. Nevertheless, corporate governance widely refers to the way corporations are managed. The present study firstly concentrates on the United States since the latter has been the first country to host debates on the topic. Different governance models basically distinguish the North-American and European (Continental Europe) governance systems. However, debates in the United States and Canada concentrate on distinct issues. The third studied country, France has also its own characteristics. International organisations' initiatives on the topic such as the OECD, illustrate the importance given to "corporate governance". Although the uniformity of distinct national governance systems is not likely to be reached in the near future, certain similarities might be pointed at, especially through the recent activism of institutional shareholders.

Identiferoai:union.ndltd.org:LACETR/oai:collectionscanada.gc.ca:QMM.33052
Date January 2000
CreatorsInal, Burcu.
ContributorsSmith, Lionel (advisor)
PublisherMcGill University
Source SetsLibrary and Archives Canada ETDs Repository / Centre d'archives des thèses électroniques de Bibliothèque et Archives Canada
LanguageEnglish
Detected LanguageEnglish
TypeElectronic Thesis or Dissertation
Formatapplication/pdf
CoverageMaster of Laws (Institute of Comparative Law.)
RightsAll items in eScholarship@McGill are protected by copyright with all rights reserved unless otherwise indicated.
Relationalephsysno: 001821929, proquestno: MQ75364, Theses scanned by UMI/ProQuest.

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