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Constitutional protection of economic rights: The Swiss and U.S. experience in comparison

Peter Moser

Constitutional Political Economy, 1994, vol. 5, issue 1, 79 pages

Abstract: This paper analyzes the contribution of the Swiss and the U.S. Constitution to protect economic liberties, and compares the different strategies that both constitutions rely on to achieve this goal. Pertinent provisions in the Swiss Constitution are rather precise but relatively easy to change, whereas the U.S. Constitution is characterized by vaguely formulated constraints that are difficult to amend formally and that are interpreted by the Supreme Court. Nevertheless, the substantial constitutional changes that did occur in both countries seem to have followed strikingly similar patterns: Initially, regional integration through reciprocal market opening within both countries facilitated the constitutional protection of economic liberties. Subsequently, the constitutional protection of economic liberties eroded in both countries, especially against federal legislation, due to changes in the interpretation of the constitution through the courts, or by formal amendment. Lastly, both constitutions were not immune against sudden demands by special interest groups that were being raised during times of crisis or war. Copyright George Mason University 1994

Keywords: K11; K12; N40 (search for similar items in EconPapers)
Date: 1994
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DOI: 10.1007/BF02393256

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