send mail to support@abhimanu.com mentioning your email id and mobileno registered with us! if details not recieved
Resend Opt after 60 Sec.
By Loging in you agree to Terms of Services and Privacy Policy
Claim your free MCQ
Please specify
Sorry for the inconvenience but we’re performing some maintenance at the moment. Website can be slow during this phase..
Please verify your mobile number
Login not allowed, Please logout from existing browser
Please update your name
Subscribe to Notifications
Stay updated with the latest Current affairs and other important updates regarding video Lectures, Test Schedules, live sessions etc..
Your Free user account at abhipedia has been created.
Remember, success is a journey, not a destination. Stay motivated and keep moving forward!
Refer & Earn
Enquire Now
My Abhipedia Earning
Kindly Login to view your earning
Support
Type your modal answer and submitt for approval
The concept of the Judicial review has been borrowed from the Constitution of
U.K.
Switzerland
U.S.A
U.S.S.R.
- Option:1, U.K.
- The U.K. does not have a written constitution. Judicial review is less prevalent as parliamentary sovereignty is a core principle.
- Option:2, Switzerland
- Switzerland follows a different model. Its judiciary doesn't have the same power of constitutional review as seen in some other nations.
- Option:3, U.S.A
- The concept of Judicial Review in India is inspired by the U.S.A. system. In the U.S., landmark cases like Marbury v. Madison established the judiciary's power to interpret the constitutionality of laws.
- Option:4, U.S.S.R.
- The U.S.S.R. had a different system, with no independent judiciary capable of review in the western sense.
By: Parvesh Mehta ProfileResourcesReport error
Access to prime resources
New Courses