Abstract

In 1994, Albania codified the current civil code, harmonizing the national legislation with the democratic values of the Western European Countries. This paper fills the gap in the national and international scientific literature since there is no scientific contribution that examines the Albanian law of succession showing the similarities and differences between the Albanian and the Italian civil codes. This is fundamental because according to Article 33 Albanian Private International Law (Albanian Law no. 10 428 of June 2011), which governs cross-border succession law, in the case of immovable goods, the rule of lex rei sitae has been codified. Thus, in the case of immovable goods, the Albanian succession law will be applied to them. In the conclusion, this research demonstrates that the Albanian Law of Succession of 1994 is different in many ways from the rules established in the Italian Civil Code of 1942.

Details

Title
Similarities and Differences Between the Albanian and Italian Succession Law
Author
Ervin Pupe 1 ; Koka, Enkelejda 2 ; Venditti, Carlo 3 ; Picaro, Raffaele 3 ; Rea Ajazi 4 ; Denard Veshi 5 

 High Court of Albania, Tirana, Albania 
 European University of Tirana, Albania 
 University of Campania Luigi Vanvitelli, Caserta, Italy 
 School of Advocacy of Albania, Tirana, Albania 
 University College “Bedër”, Tirana, Albania 
Pages
212-229
Publication year
2021
Publication date
2021
Publisher
De Gruyter Poland
ISSN
12138770
e-ISSN
24646601
Source type
Scholarly Journal
Language of publication
English
ProQuest document ID
3156600118
Copyright
© 2021. This work is published under http://creativecommons.org/licenses/by-nc-nd/3.0 (the “License”). Notwithstanding the ProQuest Terms and Conditions, you may use this content in accordance with the terms of the License.