| The anti-trust law is considered as the charter of the enterprises and theeconomic constitution, it has been over one hundred years since "sherman Act"was enacted in America. The control of corporate merger is the core element and oneof the main systems of the anti-trust law among the legal systems set up by thedeveloped countries, such as America, German, and EU.The new round of global merger put forward by the global economic integrationwill be a big challenge to China, a member of WTO because the scope and size of thismerger are precedent, it will change the merger market of China fundamentally.Therefore, it's necessary to strengthen the control system of corporate merger toregulate the above-mentioned situation. The control system of corporate mergerincludes the substantive and procedural parts, and the substantive standard is themajor elements of the substantive part.Therefore, the author chooses it as the subject of the graduation paper. This paperconsists of five parts, and focuses on the comparative analyses on the substantivestandard of the control system of corporate merger of the developed countries such asAmerica, Germany and The EU, then it puts forward some advice for the legislationof the control of corporate merger in China. |