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The recent Global Financial Crisis (GFC) has spawned a raft of legislative reforms in the United States, Britain and Australia in the areas of corporations law and corporate finance law.This paper outlines key recent reforms in each of these jurisdictions; compares and contrasts the different legislative approaches; explains the similarities and differences between each jurisdictions approach in the context of the economic problems faced by each; and evaluates the extent to which each legislative regime addresses the pivotal causes of the GFC.