内幕交易:是不是现代犯罪?

Udit Grover, Varun Chandra
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摘要

本文关注的是以内幕交易形式出现的市场挑战。尽管内幕交易已经存在了几十年,但随着古普塔(Rajat Gupta)一案最近的结案,有关内幕交易概念的问题再次浮出水面。在简要介绍内幕交易的基本概念之后,我们将深入研究印度监管内幕交易的法律,然后分别研究美国和英国的法律。通过本文,我们特别关注印度规范上述威胁的法律。然而,我们确实考虑了美国和英国的法律。本文旨在阐明美国、英国和印度的法律制度,并试图在它们之间进行比较分析,因为美国是第一个制定内幕交易监管的司法管辖区,今天它继续在监管和执行方面引领世界,英国也考虑到欧洲议会的指令,代表了欧盟对内幕交易的法律制度。印度是一个关于内幕交易的法定规定没有很长历史的国家,然而,正在进行修订,使这种罪行更具惩罚性和预防性,直到最近才颁布了禁止内幕交易的立法。
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Insider Trading: A Modern Crime or Not?
This paper follows the emerging challenge in the market, in the form of Insider trading. Even though being present for more than a few decades, the questions regarding the concept of Insider trading were once again thrown open as the case of Mr. Rajat Gupta came to its conclusion recently. We, after briefly stating out the basics about the concept of Insider Trading delve right into the laws that regulate it in India, and then followed by the laws in the United States and the United Kingdom respectively. Through this paper, we are particularly concentrating on the laws regulating the said menace in India. However, we do take the laws of USA and UK in consideration. This article aims to put light on the legal regime of USA, UK and India and tries to draw a comparative analysis between them because USA was the first jurisdiction to enact insider trading regulation and today it continues to lead the world in the regulation and enforcement, UK takes into consideration Directive of the European Parliament too that represent EC legal regime on insider dealing, India being the country whose statutory provisions on insider trading does not have a long history nevertheless amendments are being made to make this offence more punitive and preventive and only recently has enacted legislation prohibiting insider dealing.
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