The Pursuit of High Performance

<p>A common focal point of conversation when judges from different countries meet is how their respective legal processes are different. Certainly true distinctions exist among the range of legal systems extant in the world. Civil law, common law, religious law, customary law, Sharia, and thei...

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Main Author: Roger Hanson
Format: Article
Language:English
Published: International Association for Court Administration 2010-11-01
Series:International Journal for Court Administration
Online Access:https://www.iacajournal.org/articles/50
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spelling doaj-46dcf55b22554b478efcacbb6179418c2020-11-25T03:20:11ZengInternational Association for Court Administration International Journal for Court Administration2156-79642010-11-013121210.18352/ijca.5046The Pursuit of High PerformanceRoger Hanson<p>A common focal point of conversation when judges from different countries meet is how their respective legal processes are different. Certainly true distinctions exist among the range of legal systems extant in the world. Civil law, common law, religious law, customary law, Sharia, and their combinations exhibit real and substantial alternatives in how, why and when court business is conducted. Yet, underneath this variation, there are striking similarities.</p><p>By Roger Hanson, Brian Ostrom and Matthew Kleiman</p>https://www.iacajournal.org/articles/50
collection DOAJ
language English
format Article
sources DOAJ
author Roger Hanson
spellingShingle Roger Hanson
The Pursuit of High Performance
International Journal for Court Administration
author_facet Roger Hanson
author_sort Roger Hanson
title The Pursuit of High Performance
title_short The Pursuit of High Performance
title_full The Pursuit of High Performance
title_fullStr The Pursuit of High Performance
title_full_unstemmed The Pursuit of High Performance
title_sort pursuit of high performance
publisher International Association for Court Administration
series International Journal for Court Administration
issn 2156-7964
publishDate 2010-11-01
description <p>A common focal point of conversation when judges from different countries meet is how their respective legal processes are different. Certainly true distinctions exist among the range of legal systems extant in the world. Civil law, common law, religious law, customary law, Sharia, and their combinations exhibit real and substantial alternatives in how, why and when court business is conducted. Yet, underneath this variation, there are striking similarities.</p><p>By Roger Hanson, Brian Ostrom and Matthew Kleiman</p>
url https://www.iacajournal.org/articles/50
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