The main goal of the article is to analyse and compare legal regulation of disposition with land in the Czech Republic and the State of Israel and to answer the question whether the Czech Republic and the State of Israel can benefit from such regulations and influence each other. The article presents part of a doctoral thesis.
Focus is given to land rights in light of private and public ownership of land in both states, public leasehold system in Israel in comparison to the Czech organization of relationship to the land and organization of land registration. The land its peculiarities in the legal sense together with other factors significantly affect the relationship to land.
Private law structure and public law organization of land law relations, which are significantly different in both countries, are reviewed in this article. The possibility of using the examined instruments and institutes of one country yin the environment of the other country is assessed.