Appellate Practice
Jul. 17, 2017
Statement of Facts: Part VII
This is the final installment of a series of seven columns on how to write an effective Statement of Facts. And it might be the most important one.





Myron Moskovitz
Legal Director
Moskovitz Appellate Team
90 Crocker Ave
Piedmont , CA 94611-3823
Phone: (510) 384-0354
Email: myronmoskovitz@gmail.com
UC Berkeley SOL Boalt Hal
Myron Moskovitz is author of Strategies On Appeal (CEB, 2021; digital: ceb.com; print: https://store.ceb.com/strategies-on-appeal-2) and Winning An Appeal (5th ed., Carolina Academic Press). He is Director of Moskovitz Appellate Team, a group of former appellate judges and appellate research attorneys who handle and consult on appeals and writs. See MoskovitzAppellateTeam.com. The Daily Journal designated Moskovitz Appellate Team as one of California's top boutique law firms. Myron can be contacted at myronmoskovitz@gmail.com or (510) 384-0354. Prior "Moskovitz On Appeal" columns can be found at http://moskovitzappellateteam.com/blog.

MOSKOVITZ ON APPEALS
This is the final installment of a series of seven columns on how to write an effective Statement of Facts. And it might be the most important one.
In prior columns, I suggested that the Statement of Facts might be the most persuasive part of the brief -- even more than the Argument. If the story you tell cries out for justice, it might persuade the judge before ...
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