A Comparative Analysis of the Doctrine of Frustration of Contract from Irish and Islamic Perspectives

dc.contributor.advisorProf. Brian Hutchinson
dc.contributor.authorHAMZAH MOHAMED GHIYATH ALSHAHEEN
dc.date2020
dc.date.accessioned2022-05-19T16:05:12Z
dc.date.available2022-05-19T16:05:12Z
dc.degree.departmentInternational commercial law
dc.degree.grantorUniversity College Dublin- Sutherland School of Law
dc.description.abstractThe paper attempt to bridge the gap in scholarly understanding of Sharia and Irish law in relation to the doctrine of frustration of contract. The primary aim is to provide a detailed account of the principles of frustration of contract law which operate under Islamic and Irish law. A secondary aim is to identify and critically evaluate the many differences between the principles operating under the opposing legal systems both Irish and Islamic. In addition , the paper analyses the rules and legal opinions which control frustration of contracts and show how Islamic and Irish law may each be adapted
dc.identifier.urihttps://drepo.sdl.edu.sa/handle/20.500.14154/14644
dc.language.isoen
dc.titleA Comparative Analysis of the Doctrine of Frustration of Contract from Irish and Islamic Perspectives
sdl.thesis.levelMaster
sdl.thesis.sourceSACM - Ireland

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