@article{2026bcc3-b8cf-497d-bc38-527aa59a9e96, author = {Krzysztof Bokwa}, title = {Liability for Non-material Damage in Hungarian Law in the 19th–20th Centuries in Comparison with Austrian and Polish Codifications}, journal = {Krakowskie Studia z Historii Państwa i Prawa}, volume = {Tom 15 (2022)}, number = {Tom 15, Zeszyt 2}, year = {2022}, issn = {2084-4115}, pages = {293-306},keywords = {Hungarian law; non-material damage; torts; Central Europe}, abstract = {The article describes the regulation of liability for non-pecuniary damage on the example of 19th century Hungarian law, which is based on a long, unbroken tradition, individual legal acts and customary law. Furthermore, the classification of torts and remedies in contemporary Hungarian law is analysed, highlighting their similarities and differences to those used in the present civil law. Particular emphasis is placed on the examination and presentation of the institution of homagium, which had a medieval origin and constituted a specific instrument for obtaining compensation for non-pecuniary damage. It is compared with Polish (Code of Obligations of 1933) and Austrian (ABGB of 1811) regulations. The situation allows the author to show the variety of ways in which contract law has developed, especially concerning the pecuniary compensation of harm and pain. Employing comparative and historical methods makes it possible to highlight the timelessness of particular obligation law issues, showing its evolution in Central Europe in the last two centuries. FINANSOWANIE   The project ‘Continuity and Discontinuity of Pre-war Legal Systems in Post-war Successor States (1918–1939)’ is co-financed by the Governments of Czechia, Hungary, Poland and Slovakia through Visegrad Grants from International Visegrad Fund. The mission of the fund is to advance ideas for sustainable regional cooperation in Central Europe. Visegrad Grant No. 22030159.}, doi = {10.4467/20844131KS.22.020.15723}, url = {https://ejournals.eu/czasopismo/kshpp/artykul/liability-for-non-material-damage-in-hungarian-law-in-the-19th-20th-centuries-in-comparison-with-austrian-and-polish-codifications} }