A Comparative Study of the Legal Effects of Trust with Deposit and Loan in the Legal Systems of Iran, France, and England

Authors

    Behzad Sabetipour PhD student, Department of Private Law, Maybod Branch, Islamic Azad University, Maybod, Iran
    Moein Sabahi * Assistant Professor, Department of Law, Kerman Branch, Islamic Azad University, Kerman, Iran Moiensabahi@yahoo.com
    Syed Jafar Hashemi Bajgani Assistant Professor, Department of Law, Maybod Branch, Islamic Azad University, Maybod, Iran
    Yaser Salari Associate Professor, Department of Theology and Islamic Studies, Kerman Branch, Islamic Azad University, Kerman, Iran
https://doi.org/10.61838/kman.isslp.3.2.16

Keywords:

trust deposite, loan, Iranian Law, French Law, English Law

Abstract

One of the contracts commonly used in various forms in society today is the contract of deposit. The Civil Code, from Article 607 onwards, defines this contract and explains its rulings and effects. Similarly, the concept of trust (Trust) is one of the fundamental and widely used concepts in the legal systems of countries like the United States and England, which are influenced by their legal system. In this institution, the owner, by relinquishing their ownership rights, subjects it to a trust and transfers their legal ownership rights to a person called the trustee. Loan, in the jurisprudence and law of Iran, refers to a revocable contract by which one party permits the other party to use the property without compensation for a specified period. Therefore, the author, in this article, compares the legal effects of trust with deposit and loan in the legal systems of Iran, England, and France in a descriptive-analytical manner. The results indicate that, according to English law and the resulting interpretations, trust is not considered a contract and can somewhat be categorized under agreements. Trust cannot be regarded as a real contract in the sense commonly used in Iranian law.

Downloads

Download data is not yet available.

Downloads

Additional Files

Published

2024-05-16

Submitted

2024-02-29

Revised

2024-05-03

Accepted

2024-05-09

How to Cite

Sabetipour, B., Sabahi, M., Hashemi Bajgani, S. J., & Salari, Y. . (2024). A Comparative Study of the Legal Effects of Trust with Deposit and Loan in the Legal Systems of Iran, France, and England. Interdisciplinary Studies in Society, Law, and Politics, 3(2), 128-139. https://doi.org/10.61838/kman.isslp.3.2.16

Similar Articles

11-20 of 69

You may also start an advanced similarity search for this article.