For 50 years, the first edition of The Italian Authorized System has been the gold normal amongst English-language works on the Italian authorized system. Even when that is so, civil legislation was usually the authorized system in place before the rise of socialist law, and a few Jap European nations reverted to the pre-socialist civil law following the fall of socialism, while others continued using a socialist legal systems.
This is partly for reasons of convenience and partly because of the idea prevailing in New Zealand that there is a single widespread law, the legislation of England, and that there usually are not separate, although comparable, widespread laws in different nations.
Widespread legislation developed in England, influenced by Anglo-Saxon law and to a much lesser extent by the Norman conquest of England , which launched legal ideas from Norman law , which, in turn, had its origins in Salic legislation Common legislation was later inherited by the Commonwealth of Nations , and almost every former colony of the British Empire has adopted it ( Malta being an exception).
Quotation needed Quebec regulation, whose private law can also be of French civil origin, has developed along the same strains, adapting in the identical means as Louisiana to the public regulation and judicial system of Canadian frequent law Against this, Quebec private law has innovated primarily from civil sources.