A comparative study of the partial invalidity of the contract in Iranian and French law with emphasis on the new French civil law

Document Type : Original Article

Authors

1 PhD student, Alborz Campus, University of Tehran

2 Professor, Faculty of Law and Political Science, University of Tehran

3 Associate Professor, Faculty of Law, University of Tehran

Abstract

in the civil code of iran , as in the french civil law , a special section is not devoted to the issue of contract nullity and contracts , but we can obtain from the پراکنده of civil law to the common rules . Given the failure of the Iranian Civil Code regarding nullity in terms of nullity , the importance of writing this article is not devoted to itself , so the importance of writing this article is that , as far as possible , it is one of the most important issues to be considered in this regard , so that we may be able to study the legal vacuum as far as possible with scientific research and discussion because it has not been used in this area before . Also , in order to clarify the aspects of the discussion , we study comparative study in French law because the Iranian law has a great influence on the rights of France . since the main aim of the contract is the full implementation of the contract , it is important in iran to complete the contract and keep it in place , but in all the contracts it does not lead to complete implementation , it is in this stage that the main purpose of the project is تجزیه‌پذیری and سخن .

Keywords