How Constitutions Change: A Comparative Study
This set of essays explores how constitutions change and are changed in a number of countries, and how the 'constitution' of the EU changes and is changed. For a range of reasons, including internal and external pressures, the constitutional arrangements in many countries are changing. Constitutional change may be formal, involving amendments to the texts of Constitutions or the passage of legislation of a clearly constitutional kind, or informal and organic, as where court decisions affect the operation of the system of government, or where new administrative and other arrangements (eg agencification) affect or articulate or alter the operation of the constitution of the country, without the need to resort to formal change.

The countries in this study include, from the EU, a common law country, a Nordic one, a former communist state, several civil law systems, parliamentary systems and a hybrid one (France). Chapters on non EU countries include two on developing countries (India and South Africa), two on common law countries without entrenched written constitutions (Israel and New Zealand), a presidential system (the USA) and three federal ones (Switzerland, the USA and Canada). In the last two chapters the editors conduct a detailed comparative analysis of the jurisdiction-based chapters and explore the question whether any overarching theory or theories about constitutional change in liberal democracies emerge from the study.
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How Constitutions Change: A Comparative Study
This set of essays explores how constitutions change and are changed in a number of countries, and how the 'constitution' of the EU changes and is changed. For a range of reasons, including internal and external pressures, the constitutional arrangements in many countries are changing. Constitutional change may be formal, involving amendments to the texts of Constitutions or the passage of legislation of a clearly constitutional kind, or informal and organic, as where court decisions affect the operation of the system of government, or where new administrative and other arrangements (eg agencification) affect or articulate or alter the operation of the constitution of the country, without the need to resort to formal change.

The countries in this study include, from the EU, a common law country, a Nordic one, a former communist state, several civil law systems, parliamentary systems and a hybrid one (France). Chapters on non EU countries include two on developing countries (India and South Africa), two on common law countries without entrenched written constitutions (Israel and New Zealand), a presidential system (the USA) and three federal ones (Switzerland, the USA and Canada). In the last two chapters the editors conduct a detailed comparative analysis of the jurisdiction-based chapters and explore the question whether any overarching theory or theories about constitutional change in liberal democracies emerge from the study.
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How Constitutions Change: A Comparative Study

How Constitutions Change: A Comparative Study

How Constitutions Change: A Comparative Study

How Constitutions Change: A Comparative Study

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Overview

This set of essays explores how constitutions change and are changed in a number of countries, and how the 'constitution' of the EU changes and is changed. For a range of reasons, including internal and external pressures, the constitutional arrangements in many countries are changing. Constitutional change may be formal, involving amendments to the texts of Constitutions or the passage of legislation of a clearly constitutional kind, or informal and organic, as where court decisions affect the operation of the system of government, or where new administrative and other arrangements (eg agencification) affect or articulate or alter the operation of the constitution of the country, without the need to resort to formal change.

The countries in this study include, from the EU, a common law country, a Nordic one, a former communist state, several civil law systems, parliamentary systems and a hybrid one (France). Chapters on non EU countries include two on developing countries (India and South Africa), two on common law countries without entrenched written constitutions (Israel and New Zealand), a presidential system (the USA) and three federal ones (Switzerland, the USA and Canada). In the last two chapters the editors conduct a detailed comparative analysis of the jurisdiction-based chapters and explore the question whether any overarching theory or theories about constitutional change in liberal democracies emerge from the study.

Product Details

ISBN-13: 9781847317889
Publisher: Bloomsbury Publishing
Publication date: 08/09/2011
Series: Library of Hebrew Bible/Old Testament Studies
Sold by: Barnes & Noble
Format: eBook
Pages: 510
File size: 1 MB

About the Author

Dawn Oliver is Emeritus Professor of Constitutional Law at University College London.
Carlo Fusaro is Professor of Public Comparative Law at the University of Florence, Italy

Table of Contents

Part I
1. Changing Constitutions
Carlo Fusaro and Dawn Oliver
Part II
2. Canada
Tsvi Kahana
3. The Czech Republic
Maxim Tomoszek
4. The European Union
Renaud Dehousse
5. Finland
Markku Suksi
6. France
Sophie Boyron
7. Germany
Jens Woelk
8. India
Mahendra Pal Singh
9. Israel
Suzie Navot
10. Italy
Carlo Fusaro
11. New Zealand
Paul Rishworth
12. Republic of South Africa
Hugh Corder
13. Spain
Ascensión Elvira
14. Switzerland
Giovanni Biaggini
15. The United Kingdom
Dawn Oliver
16. The United States of America
Stephen M Griffin
Part III
17. Changing Constitutions: Comparative Analysis
Dawn Oliver and Carlo Fusaro
18. Towards a Theory of Constitutional Change
Carlo Fusaro and Dawn Oliver
Annex: Jurisdiction-based Chart
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