Abstract
This Article consists of four main parts. Part I introduces the convergence by competition model as it applies to the regulation of financial institutions and sets the stage for the test case application of the model to the regulatory systems in the United States and United Kingdom. Part II provides a comparative history of bank regulation in Britain and the United States. Central to our argument is the proposition that, even in the presence of globalized financial markets and the opportunities for rule competition brought in their wake, the bank regulatory systems of the United States and Britain continue to be shaped for the most part by their prior history.
Recommended Citation
Heidi M. Schooner & Michael Taylor,
Convergence and Competition: The Case of Bank Regulation in Britain and the United States,
20
Mich. J. Int'l L.
595
(1999).
Available at:
https://repository.law.umich.edu/mjil/vol20/iss4/1
Included in
Banking and Finance Law Commons, Comparative and Foreign Law Commons, Legal History Commons