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英国report代写范文:Corporate governance

2017-04-18 | 来源:51due教员组 | 类别:Report代写范文

本篇英国report代写范文讲的是在通过比较和对比来评估美英企业治理机制,分析1991 - 2001年公司丑闻对现行公司治理制度的影响。 报告显示,由于每个机制都有自己的特点,所以不太可能得出一个确切的结论,哪一个更有效。 企业失败继续发生,所以仍然有必要及时更好地改善现有机制。本篇英国report代写由51due英国论文代写整理,供大家参考阅读。


1.0 Introduction
Corporate Governance (CG) has been a central and dynamic aspect of business, and recent years have witnessed the exceptional growth in CG practices. This report selects 2 representative definitions of CG from diverse understandings, examines the existing CG frameworks in UK and US, discuss the influences from corporate scandals, and then evaluate the 2 approaches. After the analysis, it can be suggested that since CG is a dynamic area, policy-makers should continuously adjust existing mechanism to meet the bran-new challenges.
 
2.0 Definition of Corporate Governance
Since corporate governance (CG) is a fascinating subject covering diverse areas like management, finance and accounting, different people would give different understanding towards this phrase from their own perspective, such as policy-makers, practitioners, researchers or theorists. It seems that the existing definitions fall along a spectrum. (Solomon, 2010) At one end, a fairly narrow definition is given by Shleifer and Vishny (1997): “corporate governance deals with the ways in which suppliers of finance to corporations assure themselves of getting a return on their investment”, and this definition is utilized in Agency Theory. At the other hand, a broader definition is provided by the Organization for Economic Co-operation and Development (1999): “corporate governance is a set of relationships between a company’s board, its shareholders and other stakeholders”; and such view is expressed in Stakeholder Theory.
 
3.0 Corporate Governance in US
In December 2009, the US approach to corporate governance was expressed as “the snarling head of American Regulation” at the ICAEW, which implies the high-regulatory characteristics in American system. America relies on a regulator-led approach through rules relating predominately to disclosure, which are mainly enforced by the Securities and Exchange Commission. This approach is “one-size-fits-all”, requiring all corporations listed in US to comply with it.
 
4.0 Compare and Contrast
Scholars of corporate governance intend to divide the world into two systems: the Anglo-American shareholder system and the Continental European/Japanese stakeholder system. (Aguilera, Williams, Conley & Rupp, 2006) The Anglo-American corporate governance system emphasizes the features shared by the US and the UK, especially the primacy of shareholders as beneficiaries of fiduciary duties, therefore, the Anglo-American system is termed as shareholders-related system. (Solomon, 2010)


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