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U.S. and Canadian Labour Law: Significant Distinctions

Resource type
Author/contributor
Title
U.S. and Canadian Labour Law: Significant Distinctions
Abstract
This article is intended to highlight the basic differences between Canada and the United States in the legal principles governing collective bargaining law. While Canadian labour relations legislation is modeled on the U.S. National Labor Relations Act, there are striking differences arising from the particular socio-economic conditions, cultural traditions, and historical experiences of both countries. Generally speaking, it is not widely disputed on either side of the border that Canadian labour relations law is more "progressive" than its U.S. counterpart. The question arises: Why?
Publication
ABA Journal of Labor & Employment Law
Volume
25
Issue
2
Pages
241-258
Date
2010
Language
en
ISSN
2156-4809
Short Title
U.S. and Canadian Labour Law
Accessed
8/3/18, 8:13 PM
Library Catalog
JSTOR
Citation
Sack, J. (2010). U.S. and Canadian Labour Law: Significant Distinctions. ABA Journal of Labor & Employment Law, 25(2), 241–258.