Abstract
This article discusses the problems in the functioning of Sharia in some European countries (UK, Germany, France, Greece), as well as the U.S. and Canada. It raises issues of registration of muslims ’ marriage contracts, inheritance relations, establishment of waqfs. Are examples of the existence of the Muslim courts and the possibility of their integration into the system of arbitration courts of the secular state.
Keywords
Sharia, Islamic family law, Islamic inheritance law, legal dualism, the sharia courts
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