Trusteeship originated from Anglo-American Legal System, and was transplanted by Continental Legal System. In practice, there is great difference in the attribution of trust property rights in its original law system and transplant law system, which caused some confusion in the use of Trusteeship in Continental Legal system. This paper analyzes the confusion in the attribution of trust property right under Continental Legal system and tries to explore potential solutions, on the basis of a comparative study of the attribution of the trust property rights under two legal systems.
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