[학술논문] Cross-border Succession in Japan, Korea and China and Related Legal Issues
...conflict rules on succession in Japan, Korea and China, including North Korea, such as unity and scission principle, nationality and habitual residence as connecting factors, party autonomy issues and renvoi, from a comparative conflict of laws perspective. It especially focuses on international succession matters involving the so-called “special permanent residents” in Japan and analyzes the...
[학술논문] 일본에서 교통사고로 사망한 북한인의 손해배상청구권 상속에 관한 준거법 결정 — 名古屋地方裁判所 2014.6.6. 判決에 대한 비판적 연구 —
...property of the decedent to become an inheritance, inheritance must be recognized by the governing law of the right (individual property). Third, in this case, although the objection to the Japanese law(renvoi) should be recognized by the clue of Article 45 (1) of the External Civil Relations Act of the DPRK, the ruling does not mention the contradiction at all. This is an obvious error. Fourth, North Korean...