The subject of Natassa Athanasiadou's comparative study is the administrative contract in the national legal orders of Germany, France and England as well as its use by the EU administration. Through the direct or indirect influence of EU administrative law, and in particular public procurement and state aid law, these four contract models are gradually harmonising and are beginning to display common structural characteristics.
|Translated title of the contribution||The administrative contract in EU law: A comparative analysis on the use of contracts by the administrations of Germany, France, the UK and the European Commission|
|Place of Publication||Tübingen|
|Number of pages||351|
|Publication status||Published - 2017|
|Series||Beiträge zum Verwaltungsrecht|