O direito sindical no sistema jurídico italiano e brasileiro

The comparison between different national models of collective labour relations regulation is undoubtedly of great interest from a comparative perspective, especially when there is a clear historical link between the systems being compared. Through an in-depth analysis of the various aspects of trad...

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Format: Online
Idioma:portuguès
Publicat: Milano University Press 2026
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Accés en línia:https://directory.doabooks.org/handle/20.500.12854/172142
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Sumari:The comparison between different national models of collective labour relations regulation is undoubtedly of great interest from a comparative perspective, especially when there is a clear historical link between the systems being compared. Through an in-depth analysis of the various aspects of trade union law, the volumes aim to highlight the profound differences between the Italian system, which, once the corporative system had fallen, adopted a model of regulation firmly based on trade union freedom, and the Brazilian system, which, on the contrary, is still characterised by a system largely inspired by the Italian corporative model. The publication of the volume in both Italian and Portuguese aims to facilitate, in line with the purpose of the Series, comparison and debate between scholars from both countries.