Template:Contract law
Contract law
Formation
Capacity
Offer and acceptance
Meeting of the minds
2
Abstraction principle
4,5
Posting rule
1
Mirror image rule
Invitation to treat
Firm offer
Consideration
1,4
Implication-in-fact
Collateral contract
Defences
Misrepresentation
Mistake
Threats
and
unequal bargaining power
Illegality
and
public policy
Unconscionability
Culpa in contrahendo
2
Force majeure
Frustration of purpose
Impossibility
Impracticability
Hardship
Set-off
Illusory promise
1
Statute of frauds
1
Non est factum
1
Unclean hands
1
Accord and satisfaction
1
Exculpatory clause
Interpretation
Parol evidence
3
Contract of adhesion
Integration clause
Contra proferentem
UNIDROIT Principles
Dispute resolution
Choice of law clause
Forum selection clause
Hague Choice of Court Convention
Arbitration
New York Convention
UNCITRAL Model Law
Mediation
Singapore Mediation Convention
Enforcement of foreign judgments
Hague Judgments Convention
Rights of third parties
Privity of contract
1
Assignment
Delegation
Novation
Third-party beneficiary
Breach of contract
Anticipatory repudiation
Cover
Exclusion clause
Efficient breach
Deviation
Fundamental breach
Remedies
Specific performance
3
Money damages
Liquidated, stipulated
, or
penal damages
3
Rescission
Quasi-contractual obligations
Promissory estoppel
1
Quantum meruit
1
Unjust enrichment
Restitution
Negotiorum gestio
2
Duties of parties
Duty of honest contractual performance
(or doctrine of abuse of rights)
6
Duty of good faith
(also implied covenant of good faith and fair dealing or duty to negotiate in good faith)
7
Contract A and Contract B in Canadian contract law
6
Related areas of law
Conflict of laws
Commercial law
By jurisdiction
Australia
Canada
China (mainland)
Ireland
India
Saudi Arabia
United Kingdom
England and Wales
Scotland
United States
Other
law
areas
Tort law
Property law
Wills
,
trusts
, and
estates
Criminal law
Evidence
Notes
1 Specific to
common law
jurisdictions
2 Specific to civil and mixed law jurisdictions
3 Historically restricted in common law jurisdictions but generally accepted elsewhere; availability varies between contemporary common law jurisdictions
4 Specific to the German
Bürgerliches Gesetzbuch
and other civil codes based on the
pandectist
tradition
5 Explicitly rejected by the
UNIDROIT Principles
of International Commercial Contracts
6 Specific to
Canadian contract law
both in Québec and in the country's common law provinces
7 Specific to civil law jurisdictions, the American
Uniform Commercial Code
, and Canadian jurisprudence in both Québec and the common law provinces pertaining to
contractual and pre-contractual negotiation
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