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A Comparison Of The U.K. And U.S. Bankruptcy Codes

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  • Julian R. Franks
  • Walter N. Torous

Abstract

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Suggested Citation

  • Julian R. Franks & Walter N. Torous, 1993. "A Comparison Of The U.K. And U.S. Bankruptcy Codes," Journal of Applied Corporate Finance, Morgan Stanley, vol. 6(1), pages 95-103, March.
  • Handle: RePEc:bla:jacrfn:v:6:y:1993:i:1:p:95-103
    DOI: 10.1111/j.1745-6622.1993.tb00376.x
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    Cited by:

    1. Pindado, Julio & Rodrigues, Luis & de la Torre, Chabela, 2008. "How do insolvency codes affect a firm's investment?," International Review of Law and Economics, Elsevier, vol. 28(4), pages 227-238, December.
    2. Helwege, Jean & Packer, Frank, 2003. "Determinants of the choice of bankruptcy procedure in Japan," Journal of Financial Intermediation, Elsevier, vol. 12(1), pages 96-120, January.
    3. Kashefi Pour, Eilnaz, 2017. "Entering the public bond market during the financial crisis: Underinvestment and asymmetric information costs," Research in International Business and Finance, Elsevier, vol. 39(PA), pages 102-114.
    4. de Miguel, Alberto & Pindado, Julio, 2001. "Determinants of capital structure: new evidence from Spanish panel data," Journal of Corporate Finance, Elsevier, vol. 7(1), pages 77-99, March.
    5. Richard Herring, 1994. "International Financial Integration: The Continuing Process," Center for Financial Institutions Working Papers 94-23, Wharton School Center for Financial Institutions, University of Pennsylvania.

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