English Inheritance law in case of intestasy.?
Japanese law does not require personal representative. lawful heir immediately succeed estate of the decedent upon his/her death. japanese law is different from English law(usa,or broadly Anglo Saxon law). German law ( or Continental law is similar to Japanese one in this point. PLease verify this.
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http://www.dmmclean.co.uk/wills/intestat... This refers to English law, I know nothing about Japanese law so I cannot verify your statement.
Yes, If I accept your first statement,I can verify that Japanese law is different from English law.
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