(Cover)
APPELLATE COURT CASE NUMBER
STATE OF MINNESOTA
IN COURT OF APPEALS
CASE TITLE: |
Respondent, |
vs. |
Appellant. |
APPELLANT'S BRIEF AND APPENDIX | |
JOHN BROWN | SMITH & JONES |
Attorney for Respondent | By John Jones |
(address, zip code, and telephone number) | Attorney for Appellant |
(address, zip code, telephone number, and attorney registration license number) |
. | |
TABLE OF CONTENTS | |
Page | |
Table of Authorities | 2 |
Legal Issues | 3 |
Statement of Facts | 4 |
Argument | |
1. (Concise statement of each legal argument advanced) | 7 |
2. | 12 |
3. | 15 |
Conclusion | 19 |
APPENDIX AND ITS INDEX | |
Complaint | 1 |
Answer | 2 |
Jury Instructions (if applicable) | 3 |
Verdict | 7 |
Motion for New Trial | 8 |
Order Denying Motion for New Trial and Memorandum | 11 |
Notice of Appeal | 12 |
. | |
TABLE OF AUTHORITIES | |
Statutes (list applicable statutes and page where argument found) | |
Minnesota Statutes, section 518.58 (1982) | 8 |
Cases (list applicable authorities and page where argument found) | |
Jones v. Olson, __ N.W.2d __ (Minn. 1982) | 9 |
Smith v. Brown, __ Minn. __, __ N.W.2d __ (1965) | 14 |
Secondary Authorities | |
McCormick, Damages, section 83 (1935) | 16 |
. |
LEGAL ISSUES |
I. (Precise statement of each legal issue) |
Trial court held: _ |
II. |
. |
STATEMENT OF FACTS
(The facts should be stated in compliance with RCAP 128.02, subd. 1(c), accompanied by appropriate citations to the appendix and the transcript.)
. |
ARGUMENT
I. (Each legal issue should be argued separately. RCAP 128.02, subd. 1(d).)
. |
CONCLUSION
(The conclusion shall contain a statement of the precise relief sought.)
Respectfully submitted, |
SMITH & JONES |
By John Jones |
Attorney for Appellant |
(address, zip code, telephone number, and attorney registration license number) |
. |
APPENDIX AND INDEX
(The index should precede the appendix and the pages of the appendix should be separately numbered. RCAP 130.)
(Amended effective for appeals taken on or after January 1, 1992.)