Which of the following is a major difference in the law-making process used in France and that used in the United States?

a. In both countries, most bills are introduced by the executive; therefore, there is no major difference.
b. In the United States, after a bill is introduced, it is reviewed by legislative committees; no such process exists in France.
c. In both countries, bills must be passed in identical forms by both chambers of the legislature; therefore, there is no difference.
d. In France, a bill must be scrutinized by the State Council to determine its impact on subnational governments; such a process does not exist in the United States.
e. In France, it is possible that a bill, once passed, can be submitted to the Constitutional Council for judicial review; such a process is not possible in the United States.


e

Political Science

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