The System of Private Caveats in Malaysia and Singapore: Some Reflections
Teo Keang Sood
Citation: [2013] Sing JLS 428
This article undertakes a comparative study of the Malaysian and Singaporean systems of private caveats on the following three areas: the priority of unregistered interests, the entry of further caveats and the requirements to sustain a caveat. It seeks to determine the jurisdiction which best facilitates the policy objectives of the Torrens system of land registration in the three areas discussed.