Employment Arbitration Motion Preparation
Budget: $30 – $250 USD
Two separate employment arbitrations are moving forward and I want to keep them that way. All case files, contracts, exhibits and prior pleadings are already scanned and catalogued; what I need now is a clear, professional package that will stand on its own before the arbitrator.
The work involves three tightly-linked tasks: first, reviewing the documents and building a concise chronology that sets out each claim and supporting evidence; second, drafting a well-structured opposition motion that rebuts the other side’s request to consolidate; and finally, weaving the facts and rules together so it is unmistakable that the two matters must proceed independently.
I will supply the full document set in PDF/Word as soon as we start, along with my own notes on strategy and any hearing schedules already issued. Familiarity with AAA or JAMS rules, citation formatting (Bluebook or similar) and solid legal writing skills are essential because the finished motion must be ready to file without further editing on my end.
Deliverables expected:
• Claim summary and timeline (Word & PDF)
• Draft opposition motion with citations, table of authorities and proposed order (Word)
• Brief cover memo explaining how the motion prevents consolidation
Acceptance criteria: the opposition meets page-limit and formatting rules of the governing arbitration forum, all factual assertions are tied to exhibits, and the argument section clearly cites controlling statutes or precedent.
Once the motion is filed I may ask for limited follow-up edits based on the arbitrator’s instructions, so please let me know your availability for quick turnarounds in the next few weeks.
The work involves three tightly-linked tasks: first, reviewing the documents and building a concise chronology that sets out each claim and supporting evidence; second, drafting a well-structured opposition motion that rebuts the other side’s request to consolidate; and finally, weaving the facts and rules together so it is unmistakable that the two matters must proceed independently.
I will supply the full document set in PDF/Word as soon as we start, along with my own notes on strategy and any hearing schedules already issued. Familiarity with AAA or JAMS rules, citation formatting (Bluebook or similar) and solid legal writing skills are essential because the finished motion must be ready to file without further editing on my end.
Deliverables expected:
• Claim summary and timeline (Word & PDF)
• Draft opposition motion with citations, table of authorities and proposed order (Word)
• Brief cover memo explaining how the motion prevents consolidation
Acceptance criteria: the opposition meets page-limit and formatting rules of the governing arbitration forum, all factual assertions are tied to exhibits, and the argument section clearly cites controlling statutes or precedent.
Once the motion is filed I may ask for limited follow-up edits based on the arbitrator’s instructions, so please let me know your availability for quick turnarounds in the next few weeks.