Key points are not available for this paper at this time.
The article presents the results of the study of foreign and domestic legal norms on challenging the transactions of an insolvent debtor. On the basis of comparison of legal norms of England (Anglo-Saxon legal family), Saudi Arabia (religious law) and Russia (Romano-Germanic legal family) there are established common features and differences in approaches to definition of legal norms on contestation of insolvent debtor’s transactions.
M. O. Denisovsky (Tue,) studied this question.