Evidence Collection in the German, American and Chinese Legal Systems: A Comparative Analysis

Yanrong Zhao

PDF(652 KB)
PDF(652 KB)
Front. Law China ›› 2011, Vol. 6 ›› Issue (1) : 44-97. DOI: 10.1007/s11463-011-0118-4
research-article
research-article

Evidence Collection in the German, American and Chinese Legal Systems: A Comparative Analysis

Author information +
History +

Abstract

After comparing different procedures of evidence collection in the German, American and Chinese legal systems, the author analyzes the reasons behind the differences: Each system is determined by its specific social culture and is compatible with the construction of the civil procedures of its own. Based on China’s specific social culture and its system of civil procedure law, the German style of evidence collection is in a better position to provide guidance for China in pursuit of justice.

Keywords

evidence collection / legal system / civil procedure

Cite this article

Download citation ▾
Yanrong Zhao. Evidence Collection in the German, American and Chinese Legal Systems: A Comparative Analysis. Front Law Chin, 2011, 6(1): 44‒97 https://doi.org/10.1007/s11463-011-0118-4

RIGHTS & PERMISSIONS

2014 Higher Education Press and Thomson Reuters
PDF(652 KB)

Accesses

Citations

Detail

Sections
Recommended

/