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{{Short description|Codification of the civil law }} {{distinguish|Civil procedure}} {{other uses|Civil law (disambiguation)}} {{Multiple issues| {{more citations needed|date=May 2020}} {{Essay-like|date=May 2020}} }} [[File:Countries with a collection of laws named 'Civil Code' or similar.svg|thumb|Countries with a collection of laws known formally or informally as "civil code"]] A '''civil code''' is a codification of [[private law]] relating to [[property law|property]], [[family law|family]], and [[law of obligations|obligations]]. A jurisdiction that has a civil code generally also has a [[code of civil procedure]]. In some jurisdictions with a civil code, a number of the core areas of private law that would otherwise typically be codified in a civil code may instead be codified in a [[commercial code (law)|commercial code]]. ==History== {{unreferenced section|date=August 2013}} The history of [[Codification (law)|codification]] dates back to ancient [[Babylon]]. The earliest surviving civil code is the [[Code of Ur-Nammu]], written around 2100–2050 BC. The [[Corpus Juris Civilis]], a codification of [[Roman law]] produced between 529 and 534 AD by the [[Byzantine Empire|Byzantine]] emperor [[Justinian I]], forms the basis of [[Civil law (legal system)|civil law]] legal systems that would rule over [[Continental Europe]]. Other codified laws used since ancient times include various texts used in [[religious law]], such as the [[Manu Smriti|Law of Manu]] in [[Hindu law]], Islamic [[Sharia]] law, the [[Mishnah]] in Jewish [[Halakha]] law, and the [[Canons of the Apostles]] in Christian [[Canon law]]. ===European codes and influences on other continents=== [[File:Swiss civil code 1907.jpg|thumb|The first edition of the [[Swiss Civil Code]] (around 1907). In 1911, it became the first civil code to include commercial law ([[Swiss Code of Obligations]]).<ref>{{in lang|fr}} Frédéric Koller, [https://www.letemps.ch/monde/2016/09/13/suisse-inspire-modernisation-droit-chinois "Quand la Suisse inspire la modernisation du droit chinois"], ''[[Le temps]]'', Tuesday 13 September 2016 (page visited on 14 September 2016).</ref>]] The idea of codification re-emerged during the [[Age of Enlightenment]], when it was believed that all spheres of life could be dealt with in a conclusive system based on human [[rationality]], following from the experience of the early codifications of [[Roman Law]] during the [[Roman Empire]]. The first attempts at modern codification were made in the second half of the 18th century in [[Germany]], when the states of [[Austria]], [[Prussia]], [[Bavaria]] and [[Saxony]] began to codify their laws. The first statute that used this denomination was the ''[[Codex Maximilianeus bavaricus civilis]]'' of 1756 in Bavaria, still using the Latin language. It was followed in 1792 by a legal compilation that included civil, penal, and constitutional law, the ''[[General state laws for the Prussian states|Allgemeines Landrecht für die Preussischen Staaten]]'' (General National Law for the Prussian States) promulgated by King [[Frederick II of Prussia|Frederick II the Great]]. In Austria, the first step towards fully-fledged codification were the yet incomplete [[Codex Theresianus]] (compiled between 1753 and 1766), the [[Josephinian Code]] (1787) and the complete [[West Galician Code]] (enacted as a test in [[Galicia (Central Europe)|Galicia]] in 1797). The final [[Austrian Civil Code]] (called ''Allgemeines bürgerliches Gesetzbuch'', ABGB) was only completed in 1811 after the dissolution of the [[Holy Roman Empire]] under the influence of the [[Napoleonic Wars]]. One of the first countries to follow up through [[legal transplants]] in codification was [[Serbia]], the [[Serbian civil law|Serbian Civil Code]] (1844). Meanwhile, the [[France|French]] [[Napoleonic code]] (''Code Civil'') was enacted in 1804 after only a few years of preparation, but it was a child of the [[French Revolution]], which is strongly reflected by its content. The French code was the most influential one because it was introduced in many countries standing under French occupation during the [[Napoleonic Wars]]. In particular, countries such as [[Italy]], the [[Benelux]] countries, [[Spain]], [[Portugal]] (with the Civil Code of 1867, later replaced by the Civil Code of 1966, which is strongly influenced by the German BGB), the [[Latin America]]n countries, the province of [[Quebec]] in [[Canada]], and all other former French colonies which base their civil law systems to a strong extent on the Napoleonic Code. It is a misconception that the state of [[Louisiana]] in the [[United States]] based their civil code on the Napoleonic code. Rather, the drafters of the code were instructed to write a civil code based on the current laws, and the laws that were in effect at the time were Spanish laws based on [[Las Siete Partidas]].<ref>Alain A. Levasseur, The Major Periods of Louisiana Legal History, 41 Lov. L. REV. 585 (1996).</ref> The late 19th century and the beginning 20th century saw the emergence of the School of [[Pandects|Pandectism]], whose work peaked in the [[Bürgerliches Gesetzbuch|German Civil Code]] (BGB), which was enacted in 1900 in the course of Germany's national unification project, and in the [[Swiss Civil Code]] (''Zivilgesetzbuch'') of 1907. Those two codes had been most advanced in their systematic structure and classification from fundamental and general principles to specific areas of law (e.g. contract law, labour law, inheritance law). While the French Civil Code was structured in a "casuistic" approach attempting to regulate every possible case, the German BGB and the later Swiss ZGB applied a more abstract and systematic approach. Therefore, the BGB had a great deal of influence on later codification projects in countries as diverse as [[Japan]], [[Greece]], [[Turkey]], Portugal (1966 Civil Code) and [[Macau]] (1999 Civil Code). Since 2002 with the First law of the Civil Code of Catalonia, Parliament of Catalonia's several laws have approved the successive books of the [[Civil Code of Catalonia]]. This has replaced most of the Compilation of the Civil Law of Catalonia, several special laws and two partial codes. Only the Sixth book, relating to obligations and contracts, has to be approved. In Europe, apart from the [[common law]] countries of the United Kingdom and Ireland, only [[Scandinavia]] remained untouched by the codification movement. The particular tradition of the civil code originally enacted in a country is often thought to have a lasting influence on the methodology employed in legal interpretation. Scholars of [[comparative law]] and economists promoting the [[legal origins theory]] of (financial) development usually subdivide the countries of the [[civil law tradition]] as belonging either to the French, Scandinavian or German group (the latter including [[Germany]], [[Austria]], [[Switzerland]], [[Liechtenstein]], [[Japan]], [[China]], [[Taiwan]], [[South Korea]] and [[Ukraine]]). {{see also|European civil code}} ===Civil codes in the Americas=== The first civil code promulgated in [[Canada]] was that of [[New Brunswick]] of 1804, inspired by the 1800 project of the French civil code, known as the ''Projet de l'an VIII'' (project of the 8th year); nevertheless, in 1808 a ''Digeste de la loi civile'' was sanctioned.{{Citation needed|date=September 2022}} In the [[United States]], codification appears to be widespread at a first glance, but U.S. legal codes are actually collections of common law rules and a variety of ''ad hoc'' statutes; that is, they do not aspire to complete logical coherence. For example, the [[California Civil Code]] largely codifies common law doctrine and is very different in form and content from all other civil codes. Another unique example is the [[Louisiana Civil Code]], based on Spanish law [[Las Siete Partidas]], but incorrectly credited to be based on French Law.<ref>Levasseur, Alain A., "A "Civil Law" Lawyer: Louis Casimir Elisabeth Moreau Lislet" (1996). Journal Articles. 323. https://digitalcommons.law.lsu.edu/faculty_scholarship/323</ref><ref>Alain A. Levasseur, The Major Periods of Louisiana Legal History, 41 Lov. L. REV. 585 (1996).</ref> In 1825, [[Haiti]] promulgated a ''Code Civil'', that was simply a copy of the Napoleonic one; while [[Louisiana]] abolished its ''Digeste'', replacing it with the ''Code Civil de l'État de la Louisiane'' the same year.{{Citation needed|date=September 2022}} The [[Mexican state]] of [[Oaxaca]] promulgated the first Latin American civil code in 1827, copying the French civil code.{{Citation needed|date=September 2022}} Later on, in 1830, the civil code of [[Bolivia]], a summarized copy of the French one, was promulgated by [[Andrés de Santa Cruz]]. The latest, with some changes, was adopted by [[Costa Rica]] in 1841.<ref>{{Citation |title=Bolivia - Legal History |work=Foreign Law Guide |url=https://referenceworks.brill.com/display/entries/FLG/COM-034301.xml |access-date=2025-03-05 |publisher=Brill |language=en}}</ref> The [[Dominican Republic]], in 1845, put into force the original Napoleonic code, in French language (a translation in Spanish was published in 1884).<ref>{{Cite web |title=Guide to Legal Research in the Dominican Republic - GlobaLex |url=https://www.nyulawglobal.org/globalex/Dominican_Republic.html |access-date=2022-09-17 |website=www.nyulawglobal.org}}</ref> In 1852, [[Peru]] promulgated its own civil code (based on a project of 1847), which was not a simple copy or imitation of the French one, but presented a more original text based on the Castillan law (of [[Roman Law|Roman]] origin) that was previously in force on the Peruvian territory.{{Citation needed|date=September 2022}} [[Chile]] promulgated its [[Civil Code (Chile)|civil code]] in 1855, an original work in confront with the French code both for the scheme and for the contents (similar to the Castillan law in force in that territory) that was written by [[Andrés Bello]] (begun in 1833). This code was integrally adopted by [[Ecuador]] in 1858; [[El Salvador]] in 1859; [[Venezuela]] in 1862 (only during that year); [[Nicaragua]] in 1867; [[Honduras]] in 1880 (until 1899, and again since 1906); [[Colombia]] in 1887; and [[Panama]] (after its separation from Colombia in 1903).{{Citation needed|date=September 2022}} In 1865, the Code Civil du Bas-Canada (or [[Civil Code of Lower Canada]]) was promulgated in [[Lower Canada]] (later the [[Canadian province]] of [[Quebec]]). It was replaced in 1991 by a new [[Civil Code of Quebec]], which came into effect in 1994.{{Citation needed|date=September 2022}} [[Uruguay]] promulgated its code in 1868, and [[Argentina]] in 1869 (work by [[Dalmacio Vélez Sársfield]]). [[Paraguay]] adopted its code in 1987, and in 1877 [[Guatemala]] adopted the Peruvian code of 1852. [[Nicaragua]] in 1904 replaced its civil code of 1867 by adopting the Argentine code. In 1916 [[Brazil]] enacted its civil code (project of [[Clovis Bevilacqua]], after rejecting the project by [[Teixeira de Freitas]] that was translated by the Argentines to prepare their project), that entered into effect in 1917 (in 2002, the [[Brazilian Civil Code]] was replaced by a new text). Brazilian Civil Code of 1916 was considered, by many, as the last code of the 19th century despite being adopted in the 20th century. The reason behind that is that the Brazilian Code of 1916 was the last of the important codes from the era of codifications in the world that had strong liberal influences, and all other codes enacted thereafter were deeply influenced by the social ideals that emerged after World War I and the Soviet Socialist Revolution.{{Citation needed|date=September 2022}} [[Panama]] in 1916 decided to adopt the Argentine code, replacing its code of 1903.{{Citation needed|date=September 2022}} [[Cuba]] had the old Civil Code of Spain until the year 1987 when the [[National Assembly of People's Power]] approved the Cuban Civil Code, Law 59.{{Citation needed|date=September 2022}} ===Civil codes in Asia=== The Portuguese Civil Code of 1868 was introduced in the Portuguese overseas territories of Asia ([[Portuguese India]], [[Macau]] and [[Portuguese Timor]]) from 1870, with local modifications being latter introduced. It continued to be in effect in the former Portuguese India even after the end of the Portuguese rule in 1961. It is still in force in the present Indian territories of [[Goa]] (locally referred as the [[Goa civil code]]), [[Daman and Diu]] and [[Dadra and Nagar Haveli]]. As Macau and Portuguese Timor were still under Portuguese rule when the Portuguese Civil Code of 1868 was replaced by that of 1966, this later was adopted by these territories. In [[East Timor]] (ex-Portuguese Timor), the Portuguese Code was replaced by the Indonesian Code when Indonesia occupied that territory in 1975. Macau adopted its own Civil Code in 1999, although this being based in the Portuguese Code of 1966.<ref>[https://ssrn.com/abstract=1280595 Macau Civil Code]</ref> Also the civil code of Spain of 1889 would be enforced in its [[colony]], the [[Philippines]], and this would remain in effect even after the end of [[History of the Philippines#Spanish settlement and rule (1565–1898)|Spanish rule]] until the [[Philippines]] enacted its own [[Civil Code of the Philippines|Civil Code]] in 1950 after almost fifty years of U.S. rule. Many legal systems of other countries in Asia are within the civil law tradition and have enacted a civil code, mostly derived from the German civil code; that is the case of [[China]], [[Japan]], [[Korea]], [[Thailand]] (the Civil and Commercial Code), [[Republic of China|Taiwan]] and [[Indonesia]] (which is influenced by the Dutch Civil Code, {{lang|nl|Burgerlijke Wetboek}}). The [[Constitution of India|Indian Constitution]] in its Directive Principles of State Policy recommends to a [[Uniform Civil Code]] in ts Article 44. The Indian parliament is yet to pass a law in this regard.<ref>{{Cite news |title=WHAT IS UNIFORM CIVIL CODE |work=Business Standard India |url=https://www.business-standard.com/about/what-is-uniform-civil-code |access-date=2022-09-17}}</ref> ==Contents of a civil code== A typical civil code deals with the fields of law known to the common lawyer as [[contracts|law of contracts]], [[law of torts|torts]], [[property|property law]], [[family law]] and the law of [[inheritance]]. [[Commercial law]], [[corporate law]] and [[civil procedure]] are usually codified separately. The older civil codes such as the French, Egyptian, Austrian and Spanish ones are structured under the [[Institutions System|Institutional System]] of the [[Roman empire|Roman]] jurist [[Gaius (jurist)|Gaius]] and generally have three large parts: * [[Law of Persons]] (''personae'') * [[Law of Things]] (''res'') * Issues common to both parts (''actiones''). The newer codes such as the ones of Germany, Switzerland, Greece, Portugal, Romania and Catalonia are structured according to the [[Pandects|Pandectist System]]: * General part * [[Law of Obligation]] * [[property law|Law of Real Rights]] * [[Family law|Family Law]] * [[inheritance|Law of Inheritance]] The civil code of the state of [[Louisiana]], following the institutions system, is divided into five parts: * Preliminary Title * Of Persons * Things and Different Modifications of Ownership * Of Different Modes of Acquiring the Ownership of Things * Conflict of Laws Pandectism also had an influence on the earlier codes and their interpretation. For example, Austrian civil law is typically taught according to the Pandect System (which was devised by German scholars in the time between the enactment of the Austrian and the German Codes), even though this is not consistent with the structure of the Code. ==Important civil codes== <!-- This section is linked from [[Napoleonic code]]. clarify tags indicate a need an explanation as to significance, origin, etc.]--> The following is the list of national or regional civil codes by alphabetic order of names of countries or regions: {| class="wikitable sortable" |- ! Country/region ! Name ! Year of promulgation ! Status ! Note |- | {{flag|Austria}} | ''[[Allgemeines bürgerliches Gesetzbuch]]'' | 1812 | rowspan="3" style="background:#ecfdb8;"| In force | |- |{{ flag| Albania}} | ''[[Kodi Civil i Republikës së Shqipërisë| Civil Code of the Republic of Albania]]'' | 1994 | |- | {{flag|Armenia}} | ''[[Law of Armenia|Armenian Civil Code]]'' | 1998 | |- | {{flag|Bavaria}} | ''[[Codex Maximilianeus bavaricus civilis]]'' | 1756 | rowspan="2" style="background:#fbe4e3;"| Defunct | |- | {{flag|Brazil}} | [[Brazilian Civil Code|''Código Civil'']] (1916 Civil Code) | 1916 | |- | {{flag|Brazil}} | [[Brazilian Civil Code|''Código Civil'']] (2002 Civil Code) | 2002 | rowspan="6" style="background:#ecfdb8;"| In force | Replaced the previous 1916 Civil Code |- | {{flag|Cuba}} | [[Cuban civil code|''Código Civil'']] (1987 Civil Code) | 1987 | Replaced the previous Spanish Civil Code [https://web.archive.org/web/20160428022535/http://www.gacetaoficial.cu/html/codigo%20civil%20lib1.html] |- | {{flag|California}} | [[California Civil Code]] | 1872 | |- | {{flag|Catalonia}} | ''[[Civil Code of Catalonia|Codi civil de Catalunya]]'' (Civil Code of Catalonia)<ref>{{cite web|url=http://www20.gencat.cat/portal/site/Justicia/menuitem.84f6394bc89391b6bd6b6410b0c0e1a0/?vgnextoid=62bbf31f87203110VgnVCM1000008d0c1e0aRCRD&vgnextchannel=62bbf31f87203110VgnVCM1000008d0c1e0aRCRD&vgnextfmt=default |title=Dret civil català. Departament de Justícia. |publisher=Departament de Justícia de la Generalitat de Catalunya |access-date=2013-11-26 |language=ca}}</ref><ref>{{cite web|author=Albert Ruda |url=http://civil.udg.es/normacivil/ |title=Projecte Norma Civil |publisher=Civil.udg.es |date=1997-03-14 |access-date=2013-11-26|language=ca}}</ref> | * First Book: 2002 * Second Book: 2010 * Third Book: 2008 * Fourth Book: 2008 * Fifth Book: 2006 * Sixth Book: 2018 <ref>{{cite web |title=The Civil Code of Catalonia |url=https://web.gencat.cat/en/actualitat/reportatges/El-Codi-civil-de-Catalunya/ |website=Government of Catalonia |access-date=2019-03-28 |archive-date=2020-01-09 |archive-url=https://web.archive.org/web/20200109183123/http://web.gencat.cat/en/actualitat/reportatges/El-Codi-civil-de-Catalunya/ |url-status=dead }}</ref> | * Replaced most of the Compilation of the Civil Law of Catalonia, several special laws and two partial codes * See: First Book ([http://portaljuridic.gencat.cat/ca/pjur_ocults/pjur_resultats_fitxa/?documentId=306867&action=fitxa official consolidated text in Catalan] and [https://web.archive.org/web/20141026004418/http://www20.gencat.cat/docs/Justicia/Documents/Lleis/doc_30924256_1.pdf text in English]), * Second Book ([http://portaljuridic.gencat.cat/ca/pjur_ocults/pjur_resultats_fitxa/?documentId=544979&action=fitxa official consolidated text in catalan] and [https://web.archive.org/web/20141219211206/http://www.parlament.cat/departaments/docs/21021318223580.docx text in English]), * Third Book ([http://portaljuridic.gencat.cat/ca/pjur_ocults/pjur_resultats_fitxa/?documentId=490798&action=fitxa official consolidated text in Catalan]), * Fourth Book ([http://portaljuridic.gencat.cat/ca/pjur_ocults/pjur_resultats_fitxa/?documentId=464805&action=fitxa official consolidated text in Catalan] and [https://web.archive.org/web/20120413050502/http://www20.gencat.cat/docs/Justicia/Documents/ARXIUS/llei10_2008_angles.pdf text in English]), * Fifth Book ([http://portaljuridic.gencat.cat/ca/pjur_ocults/pjur_resultats_fitxa/?documentId=422359&action=fitxa official consolidated text in Catalan] and [https://web.archive.org/web/20141026002904/http://www20.gencat.cat/docs/Justicia/Documents/ARXIUS/llei_5_2006_english.pdf text in English]) * and the bill of the Sixth Book ([http://www.parlament.cat/activitat/bopc/10b505.pdf#page=6 text in Catalan]) |- | {{flag|Chile}} | ''[[Civil Code (Chile)|Código Civil]]'' (Civil Code) | 1855 | Drafted mostly by [[Andrés Bello]] and the basis of the codes of [[Colombia]], [[Ecuador]] and other [[Latin America]]n countries |- | {{flag|Czech Republic}} | ''[[Legal system of the Czech Republic#Civil law|Občanský zákoník]]'' (Civil Code) | 2012 | * On 1 January 2014 was replaced by new Občanský zákoník (Civil Code) enacted in 2012 * Replaced an earlier code from 1964 * English translation by Ministry of Justice of Czech Republic available ([https://web.archive.org/web/20150615054010/http://obcanskyzakonik.justice.cz/fileadmin/preklady/aj/89-2012_Obcansky-zakonik_30.9.2014.docx]) |- | {{flag|China}} | [[Civil Code of the People's Republic of China|民法典, ''Minfadian'']] (Civil Code) | 2020 | The legislation of the Civil Code of China was started in 1954, after the first Constitution was adopted. However, legislation was stopped and resumed for several times, while China adopted [[General Principles of the Civil Law of the People's Republic of China|several civil laws]] instead. In 2014, the current legislation procedure started, and the first part, the General Provisions, was adopted in [[2017 National People's Congress]]. Despite the delay of the [[2020 National People's Congress]] due to the [[COVID-19 pandemic]], the Congressmen gathered in Beijing on May 22 to discuss and vote for the Civil Code. It was passed on May 28 and came into force on January 1, 2021. |- | {{flag|Denmark}} | ''[[Codex Holmiensis]]'' | 1241 | style="background:#fbe4e3;"| Defunct | |- | {{flag|Egypt}} | [[Egyptian Civil Code]] | 1948 | rowspan="10" style="background:#ecfdb8;"| In force | |- | {{flag|France}} | ''[[Napoleonic Code|Code civil des Français]]'' (French Civil Code) | 1804 | Later ''Code Napoléon'' and today ''Code civil''. Replaced the [[Custom of Paris in New France|Custom of Paris]]. Inspired by Justinian's sixth-century codification of Roman law. Differ with comprehensive rewrite including earlier rules, in a rational structure rather than a religious content. This made laws clearer and more accessible and superseded the conflict between royal and judges legislative power. This code prohibits judges from deciding a case by way of introducing a general rule — an exercise of legislative — thus, there is no rule of stare decisis (binding precedent) in French law, but some jurisprudence ''constante'', to interpret the law. It might also had influenced other countries. |- | {{flag|Germany}} | ''[[Bürgerliches Gesetzbuch]]'' (Civil Code) | 1900 | |- | {{flag|Greece}} | ''[[Αστικός Κώδικας]]'' (Civil Code) | 1946<ref>{{cite web|url=http://www.nyulawglobal.org/globalex/Greece.html|first=Maria|last=Panezi|title=A Description of the Structure of the Hellenic Republic, the Greek Legal System, and Legal Research|work=[[GlobaLex]]|date=April 2006|access-date=2018-04-24}}</ref> | Replaced the ''Hexabiblos'' and the Civil Law of 1856; also locally the 1841 Ionian Civil Code, 1899 Civil Code of Samos, and the 1904 Cretan Civil Code<ref>Eugenia Dacoronia, "The Evolution of the Greek Civil Law", in ''Regional Private Laws and Codification in Europe'', eds. Hector L. MacQueen, Antoni Vaquer, & Santiago Espiau Espiau (Cambridge: Cambridge University Press, 2003), 290-1.</ref> |- | {{flag|Indonesia}} | ''[[Burgerlijk Wetboek]]'' (Civil Code of 1838) | 1848 | Still in force in [[Indonesia]] since 1848, while its replaced by [[Burgerlijk Wetboek|Nieuw Burgerlijk Wetboek]] in [[The Netherlands]]. This Civil Code as known as [[Civil Code of Indonesia]]. |- | {{flag|Italy}} | ''[[Italian civil code|Codice Civile]]'' (Civil Code) | 1942<ref>{{cite web |url=http://www.jus.unitn.it/cardozo/obiter_dictum/codciv/codciv.htm |title=Il Codice Civile Italiano |language=it |publisher=Jus.unitn.it |access-date=2013-11-26 |archive-date=2010-01-22 |archive-url=https://web.archive.org/web/20100122230738/http://www.jus.unitn.it/cardozo/Obiter_dictum/codciv/Codciv.htm |url-status=dead }}</ref> | |- | {{flag|Japan}} | [[Civil Code of Japan|民法, ''Minpō'']] (Civil Code) | * Parts 1–3: 1896 * Parts 4–5: 1898 | |- | {{flag|South Korea}} | [[Civil Code of the Republic of Korea|민법, ''Minbeop'']] (Civil Code) | 1958 | |- | {{flag|Latvia}} | [[Civil Law of Latvia|Civillikums]] (Civil law) | 1937 | |- | {{flag|Louisiana}} | [[Louisiana Civil Code]] | 1825 | Replaced the Louisiana Civil Code Digest of 1808 |- | {{flag|Macau}} | ''[[Legal system of Macau|Código Civil]]'' (Civil Code) | 1999 | Replaced the 1966 Portuguese Civil Code | |- | [[Mesopotamia]] | [[Code of Hammurabi]] | c. 1780 BC | style="background:#fbe4e3;"| Defunct | |- | {{flag|Nepal}} | [[Muluki Ain (Civil Code) Act, 2018]] (Civil Code) | 2018 | style="background:#ecfdb8;"| In force | |- | {{flag|Netherlands}} | ''[[Burgerlijk Wetboek]]'' (Civil Code of 1838) | 1838 | style="background:#fbe4e3;"| Defunct | Still in force in [[Indonesia]] since 1848, as the Indonesian Civil Code. It was also applied in Timor-Leste, ''de facto'' from 1976 to 2002 and ''de jure'' from 2002 to 2011. |- | {{flag|Netherlands}} | ''[[Burgerlijk Wetboek|Nieuw Burgerlijk Wetboek]]'' (Civil Code of 1992) | 1992 | rowspan="5" style="background:#ecfdb8;"| In force | Replaced the 1838 Civil Code in its entirety; came into force in 1992, replacing the Napoleonic-based code with a German-influenced code |- | {{flag|Philippines}} | [[Civil Code of the Philippines]] | 1950 | Replacing the Civil Code of Spain which had been in force from 1889 to 1949 |- | {{flag|Poland}} | ''[[Kodeks cywilny]]'' (Civil Code) | 1964 | [http://isip.sejm.gov.pl/Download?id=WDU19640160093&type=3 Official text in Polish] {{Webarchive|url=https://web.archive.org/web/20151222102302/http://isip.sejm.gov.pl/Download?id=WDU19640160093&type=3 |date=2015-12-22 }} |- | {{flag|Portugal}} | ''[[Goa civil code|Código Civil]]'' (1868 Civil Code) | 1868 | Replaced in Portugal itself by the 1966 Civil Code. However, it is still in force in the territories of the former [[Portuguese India]] (now part of the [[Republic of India]]), since it was introduced there in 1870, namely in [[Goa]] (referred as the [[Goa civil code]]), [[Daman and Diu]] and [[Dadra and Nagar Haveli]]. It was proposed to serve as the basis for the establishment of a common [[uniform civil code of India]]. |- | {{flag|Portugal}} | ''[[Portuguese Civil Code|Código Civil]]'' (1966 Civil Code) | 1968<ref>{{cite web |url=http://www.portolegal.com/CodigoCivil.html |archive-url=https://web.archive.org/web/20060821115408/http://www.portolegal.com/CodigoCivil.html |url-status=dead |archive-date=2006-08-21 |title=Código Civil Português |publisher=Portolegal.com |language=pt |access-date=2013-11-26 }}</ref> | Replaced the Civil Code of 1868 in Portugal and its overseas territories. Besides being in force in Portugal, it is also in force in [[Angola]], [[Cape Verde]], [[Guinea-Bissau]], [[Mozambique]] and [[São Tomé and Príncipe]]. It also has a marked influence in the Macau Civil Code of 1999, the Brazilian Civil Code of 2002 and the Timor-Leste Civil Code of 2011. |- | {{flag|Prussia}} | ''[[Allgemeines Landrecht]]'' (General Law of the Land) | 1794 | style="background:#fbe4e3;"| Defunct | An incredibly casuistic, and thus unsuccessful, code of 11000 sections |- | {{flag|Puerto Rico}} | [[Law of Puerto Rico|Puerto Rico Civil Code]] | 1930 | rowspan="1" style="background:#ecfdb8;"| In force | Reproduction of the Spanish Civil Code, with the inclusion of some articles from the Louisiana Civil Code. Title 31 of the [http://www.lexisnexis.com/hottopics/lawsofpuertorico/ Laws of Puerto Rico]. |- | {{flag|Quebec}} | [[Civil Code of Lower Canada]] | 1865 | style="background:#fbe4e3;"| Defunct | In force in Quebec until being replaced by the Civil Code of Quebec in 1994. Replaced the [[Custom of Paris in New France|Custom of Paris]]. |- | {{flag|Quebec}} | ''[[Civil Code of Quebec|Code civil du Québec]]'' (Civil Code of Quebec) | 1994 | rowspan="3" style="background:#ecfdb8;"| In force | Replaced the former Civil Code of Lower Canada |- | {{flag|Romania}} | [[Civil Code of Romania]] | 2011 | Replaced the Civil Code of 1865 |- | {{flag|Russia}} | [[Civil Code of Russia]] | 1994 | |- | {{flag|Serbia}} | [[Serbian civil law|Грађански законик, ''Građanski zakonik'']] (Civil Code) | 1844 | style="background:#fbe4e3;"| Defunct | Drafted by [[Jovan Hadžić]]; officially defunct in 1946 but mostly repealed in 1978 by a new Obligations Act; some articles which have no legal equivalent in current day Serbian law are still in force |- | {{flag|Spain}} | ''[[Spanish Civil Code|Código Civil]]'' (Civil Code) | 1889 | rowspan="6" style="background:#ecfdb8;"| In force | |- | {{flag|Switzerland}} | ''[[Zivilgesetzbuch]]'' (Civil Code) | 1907 | |- | {{flag|Taiwan}} | ''[[Civil Code (the Republic of China)|民法 (中華民國)]]'' (Civil Code) | * PART I General Principles: May 23, 1929 * PART II Obligations: November 22, 1929 * PART III Rights In Rem: November 30, 1929 * PART IV Family: December 26, 1930 * PART V Succession: December 26, 1930 | |- | {{flag|Thailand}} | [[Civil and Commercial Code]] | * Books 1–2: 1923 * Book 3: 1925 * Book 4: 1930 * Book 5: 1935 * Book 6: 1935 | |- | {{flag|Turkey}} | ''[[Türk Medeni Kanunu]]'' (Civil Code) | 2001 | Replaced the [[Turkish civil code (1926)|1926 Turkish Civil Code]] |- | {{flag|Ukraine}} | [[Civil Code of Ukraine]] | 2004{{Clarify|date=March 2008}} | |} == See also == * [[Civil law (common law)|Civil law]] * [[Criminal code]] ==References== {{reflist}} {{Portal bar|Law}} {{Civil codes by country|Asia}} {{Civil codes by country|Europe}} {{Civil codes by country|Africa}} {{Civil codes by country|North America}} [[Category:Civil law (legal system)]] [[Category:Civil codes]]
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