International Contracts : a comparative study between French and Thai Systems

The French system of Private International Law of Contract is highly developed, evidenced by a rich jurisprudence and doctrinal system. One of the leaders in the field, many of their legal concepts were widely accepted and adopted by other legal systems, first by European countries and then worldwide. However, because of their complementary and intertwined nature for each other, the French legal system cannot be studied apart from the European system. For this reason, this study covers not only an in depth examination of French Private International Law but also a general look at European Private International Law. The Thai system of Private International Law of Contracts, in comparison, is developing and needs significant legal reform, as soon as possible, in order to cooperate with other contracting States in ASEAN. Thus, this comparative study responds to the needs, and shows how to correctly apply the conflict of laws’ rules, including their exceptions, which could solve many problems occurring in the Thai legal system. Therefore questions on the applicable laws of contract and the settlement of disputes which derive from international contract law are objects of this study.

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Source https://theses.hal.science/tel-00856584
Author Larpvanichar, Ratchaneekorn
Maintainer CCSD
Last Updated May 9, 2026, 22:38 (UTC)
Created May 9, 2026, 22:38 (UTC)
Identifier NNT: 2012LIL20002
Language fr
Rights https://about.hal.science/hal-authorisation-v1/
contributor Centre de recherche Droits et perspectives du droit - ULR 4487 (CRDP) ; Université de Lille
creator Larpvanichar, Ratchaneekorn
date 2012-05-30T00:00:00
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harvest_source_title test moissonnage SELUNE
metadata_modified 2026-03-30T00:00:00
set_spec type:THESE