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Study Unit 4 – eLearning RPK 214 TYPES OF PERSUASIVE WRITING: LETTER OF DEMAND & ARGUMENTS.

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Presentation on theme: "Study Unit 4 – eLearning RPK 214 TYPES OF PERSUASIVE WRITING: LETTER OF DEMAND & ARGUMENTS."— Presentation transcript:

1 Study Unit 4 – eLearning RPK 214 TYPES OF PERSUASIVE WRITING: LETTER OF DEMAND & ARGUMENTS

2 PRIOR TO LITIGATION Before summons issued to prospective defendant: Issue LETTER OF DEMAND o Defendant may pay / perform / negotiate  Settle o Defendant may raise valid defence o Tactical advantage o Placing defendant in mora (contracts without performance date) o Where combined with an election o Where unliquidated damages to be claimed o Required by statute (Mandatory – Small Claims Court; governmental organ) LETTER OF DEMAND

3 REQUIREMENTS FOR LETTER OF DEMAND Inform defendant:  What is being claimed  Basis for claim  Result of failure to meet claim in time Claim stated accurately Basis defined clearly & accurately Be clear on what plaintiff intends doing if demands not met

4 CONTENTS OF LETTER OF DEMAND Particulars of plaintiff’s lawyer….mandate Name of plaintiff Particulars of claim & basis of claim Jurisdiction State facts briefly & concisely Draw conclusion in law from facts What defendant is required to do & time for performance Make demand Consequences if demand is not met Nice to know information

5 MOST IMPORTANTLY… A LETTER OF DEMAND MUST BE… PERSUASIVE

6 “…will be vigorously pursued…” “…would be vigorously defended…” Unnecessary! It is legal practitioner’s duty to pursue all actions vigorously Spend time on pointing out why the claim / defence is good

7 WHEN DRAFTING A LETTER OF DEMAND… ID OBJECTIVES STRATEGY & TACTICS  Elements of delict committed  Formal tone throughout letter  Provide sufficient information - But not too much REPOV

8 Letter of demand – SMALL CLAIMS COURT  Small Claims Court Act 61/1984  Section 29

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11 GENERAL LETTER OF DEMAND

12 Indicating your mandate Client’s name Basis of claim – concise! Demand Consequences of inaction

13 Class exercise 6… CHANCE FAVOURS ONLY THE PREPARED MIND Louis Pasteur

14 HEADS OF ARGUMENTS PREPARING FOR TRIAL Heads of argument = Argument FOR your client Contains SUMMARY of main points of counsel’s argument & authorities relied on. Is NOT an thorough exposition of case… SKELETON argument for closing arguments! Summarizes evidence & requests particular order from court

15 HEADER – HEADS OF ARGUMENT

16 …charge…

17 STRUCTURE: HEADS OF ARGUMENT THOUGH FIRAC-METHOD IS USED, DO NOT “FIRAC” THE HEADS! Introduction (Background, charge, etc.) Facts (Undisputed / disputed, etc.) Identification of the issue Application of law to facts Keep issues separate; answer each question Answer question of law Argue persuasively! (NOT objectively) Conclusion Bibliography

18 STRUCTURE: HEADS OF ARGUMENT Introduction (Background, charge, parties, etc.) Facts (Undisputed / disputed, etc.)  Advance facts favourable to your client! Identification of the issue Law & Application of law to facts Keep issues separate; answer each question Answer question of law Argue persuasively! (NOT objectively) Conclusion Bibliography

19 END OF HEADS

20 FORMAT (SCA): SCA RULE 10(3) 1.Argument: Clear, brief & without unnecessary elaboration 2.Points (paragraphs) should be numbered 3.No lengthy quotations from authorities 4.References to authorities  specific pages / paragraphs! 5.List of authorities to be included 6.If relied on subordinate legislation, a copy of such legislation shall accompany heads of argument (??)

21 FORMAT: SCA RULE 10(3) 1.Argument: Clear, brief & without unnecessary elaboration 2.Points (paragraphs) should be numbered 3.No lengthy quotations from authorities 4.References to authorities  specific pages / paragraphs 5.List of authorities to be included, specifying those that will be referred to in the argument (??) 6.If relied on subordinate legislation, a copy of such legislation shall accompany heads of argument (??)

22 BE THOROUGH!! CANNOT ARGUE WIDER THAN CONTENTS OF HEADS OF ARGUMENT

23 FORMAT OF HoA  EACH DIVISION  OWN FORMAT  SCA  OWN FORMAT (Rule 10(3))  REFERENCING...  Practice – in text  Exception – SCA


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