Legal regulation of service and labor relations in various legal systems
The article provides a comparative characteristic of the concepts of labor relations in some foreign countries. The article analyzes the legal regulation of labor relations, dividing states into two groups. The first includes Russia, France, Germany and a number of other European states. In the sec...
Main Authors: | , , , , |
---|---|
Format: | Article |
Language: | English |
Published: |
Editorial AAR
2021-07-01
|
Series: | Laplage em Revista |
Subjects: | |
Online Access: | https://laplageemrevista.editorialaar.com/index.php/lpg1/article/view/1064 |
id |
doaj-0897f918f3684277bb480dd120ce6b9f |
---|---|
record_format |
Article |
spelling |
doaj-0897f918f3684277bb480dd120ce6b9f2021-07-12T12:00:43ZengEditorial AARLaplage em Revista2446-62202021-07-017Extra-D10.24115/S2446-622020217Extra-D1064p.35-40Legal regulation of service and labor relations in various legal systemsYuliya S. Gusakova0Tatyana L. Adrianovskaya1Valentina V. Chuksina2Aleksej N. Nifanov3Michael V. Presnyakov4BSU - Belgorod State UniversityKSAU - Kuban State Agrarian UniversityBSU - Baikal State UniversityBSU - Belgorod State UniversityRPANEPA - Russian Presidential Academy of National Economy and Public Administration The article provides a comparative characteristic of the concepts of labor relations in some foreign countries. The article analyzes the legal regulation of labor relations, dividing states into two groups. The first includes Russia, France, Germany and a number of other European states. In the second - the USA, Great Britain, Australia and other countries of the Anglo-Saxon legal system. The author denotes the similarities and differences in choosing one of the two models, namely: European (continental) and Anglo-Saxon (Anglo-American). The conclusion is drawn that the borrowing of the experience of the countries adhering to the Anglo-Saxon model is unacceptable for the Russian state, since in them the labor contract is presented not as a tool capable of guaranteeing the rights of workers, but as a legal way to create conditions that can infringe on their interests. In turn, at the moment these countries are moving towards the socialization of labor relations. https://laplageemrevista.editorialaar.com/index.php/lpg1/article/view/1064Labor relationsHired laborSocial guaranteesLabor contractSociety |
collection |
DOAJ |
language |
English |
format |
Article |
sources |
DOAJ |
author |
Yuliya S. Gusakova Tatyana L. Adrianovskaya Valentina V. Chuksina Aleksej N. Nifanov Michael V. Presnyakov |
spellingShingle |
Yuliya S. Gusakova Tatyana L. Adrianovskaya Valentina V. Chuksina Aleksej N. Nifanov Michael V. Presnyakov Legal regulation of service and labor relations in various legal systems Laplage em Revista Labor relations Hired labor Social guarantees Labor contract Society |
author_facet |
Yuliya S. Gusakova Tatyana L. Adrianovskaya Valentina V. Chuksina Aleksej N. Nifanov Michael V. Presnyakov |
author_sort |
Yuliya S. Gusakova |
title |
Legal regulation of service and labor relations in various legal systems |
title_short |
Legal regulation of service and labor relations in various legal systems |
title_full |
Legal regulation of service and labor relations in various legal systems |
title_fullStr |
Legal regulation of service and labor relations in various legal systems |
title_full_unstemmed |
Legal regulation of service and labor relations in various legal systems |
title_sort |
legal regulation of service and labor relations in various legal systems |
publisher |
Editorial AAR |
series |
Laplage em Revista |
issn |
2446-6220 |
publishDate |
2021-07-01 |
description |
The article provides a comparative characteristic of the concepts of labor relations in some foreign countries. The article analyzes the legal regulation of labor relations, dividing states into two groups. The first includes Russia, France, Germany and a number of other European states. In the second - the USA, Great Britain, Australia and other countries of the Anglo-Saxon legal system. The author denotes the similarities and differences in choosing one of the two models, namely: European (continental) and Anglo-Saxon (Anglo-American). The conclusion is drawn that the borrowing of the experience of the countries adhering to the Anglo-Saxon model is unacceptable for the Russian state, since in them the labor contract is presented not as a tool capable of guaranteeing the rights of workers, but as a legal way to create conditions that can infringe on their interests. In turn, at the moment these countries are moving towards the socialization of labor relations.
|
topic |
Labor relations Hired labor Social guarantees Labor contract Society |
url |
https://laplageemrevista.editorialaar.com/index.php/lpg1/article/view/1064 |
work_keys_str_mv |
AT yuliyasgusakova legalregulationofserviceandlaborrelationsinvariouslegalsystems AT tatyanaladrianovskaya legalregulationofserviceandlaborrelationsinvariouslegalsystems AT valentinavchuksina legalregulationofserviceandlaborrelationsinvariouslegalsystems AT aleksejnnifanov legalregulationofserviceandlaborrelationsinvariouslegalsystems AT michaelvpresnyakov legalregulationofserviceandlaborrelationsinvariouslegalsystems |
_version_ |
1721307151604908032 |