Abstract:
This article presents an investigation of corporate governance regulations,
specifically focusing on a comparative analysis between the United States and France.
Corporate governance plays a crucial role in shaping the behavior and accountability
of corporations, as well as safeguarding the interests of shareholders and stakeholders.
By examining the regulatory frameworks in both countries, this study aims to identify
similarities and differences in corporate governance practices, assess the corporate
governance regulations employed in France and the united states of America.
The study provide a strong foundation on assessing the global investments
models and demand for transparency in the management drive for the adoption of
modern corporate governance approaches, with many companies being family based
business across the countries, their scale of the breadth has grown in the extent of
increasing the seeking of capital outside the company. This hence necessitate the
satisfying of the Corporate governance standards likely to be the source of competition
and the conventional model to be employed in the adoption of the quick standards that
can enable the companies realize the corporate governance