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Paper Information

Journal:   SANAAT-E-BIMEH   FALL 2014 , Volume 29 , Number 3 (115); Page(s) 195 To 222.
 
Paper: 

A COMPARATIVE STUDY OF THE NOTION OF THE INSURABLE INTEREST IN THE INDEMNITY INSURANCE IN IRAN, ENGLAND AND FRANCE LAW

 
 
Author(s):  IZANLOO MOHSEN, FOOLADGAR FARIBA*
 
* UNIVERSITY OF TEHRAN
 
Abstract: 

Insurable interest is considered as the basic concept in the insurance contracts which distinguishes it from wagering and gambling. Although, insurable interest as an essential contractual factor is provided in section 4 of the Iranian Insurance Act and indemnity insurance, it has been never attended independently as "Insurable Interest" among the Iranian researches. Therefore, it is necessary to investigate and determine the notion of insurable interest in the Iranian law due to its importance in insurance contracts. The ultimate goal of this paper is to express a clarified concept of the insurable interest in the indemnity assurance via a comparative study of England and France laws. The Section 4 of the Iranian Assurance Act includes property ownership right as an insurable interest, but this generalization requires more accurate study in our legal system.

 
Keyword(s): INSURABLE INTEREST, RISK, REAL RIGHT, PERSONAL RIGHT, CIVIL RESPONSIBILITY
 
References: 
  • ندارد
 
  Persian Abstract Yearly Visit 69
 
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