Abstract
The debate on criminal corporate liability in the United States might benefit from a comparative perspective: How have other countries treated the criminal liability of corporate entities? This benefit might be enhanced by focusing on a country with a similar legal heritage to the United States—a country with a common law legal system inherited from the British. And, it would help if that country were concurrently examining the issue of criminal corporate liability. Interesting questions might include: What issues dominate the debate? How are issues of punishment, reparations, and rehabilitation handled? Is a legislative approach contemplated? The purpose of this Article is to offer one such alternate perspective, the Irish perspective.
| Original language | English |
|---|---|
| Pages (from-to) | 157 |
| Journal | Stetson Law Review |
| Volume | 41 |
| DOIs | |
| Publication status | Published - 1 Jan 2011 |
Keywords
- criminal corporate liability
- United States
- comparative perspective
- common law legal system
- British
- punishment
- reparations
- rehabilitation
- legislative approach
- Irish perspective