- 著者
-
何 昕
花里 俊廣
- 出版者
- 日本建築学会
- 雑誌
- 日本建築学会計画系論文集 (ISSN:13404210)
- 巻号頁・発行日
- vol.78, no.687, pp.969-978, 2013-05-30 (Released:2013-06-10)
- 参考文献数
- 12
- 被引用文献数
-
1
3
Through the comparison between Chinese and Japanese condominium laws, this study clarifies characteristics of comparted ownership system and space management in modern China. The findings are as follows.1. The Chinese condominium law consists of simplified Real Right Law as the superior law, and some auxiliary laws. In China, land is granted for a fixed term, generally 70 years for residential use.2. In China, the division between exclusive space and common space are not clear. The method of calculating exclusive area is different from that of Japanese law, and difficult to do it.3. Although the Chinese housing management system based on Japanese Condominium Law, the whole business of management has been consigned to the property company, the role of strata council is forced to retreat as a management entity, and there are fewer rules of management bylaw but much more rules about repair reserve fund.