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The United States legal system does not draw a distinction between lawyers who plead in court and those who do not, unlike many other common law jurisdictions (such as Britain, which has distinct between solicitors and barrister -or, in Scotland, advocates) or and civil law jurisdictions (such as Italy and France, which distinguish between advocates and civil law notaries). An additional factor which differentiates the American legal system from other countries is that there is no delegation of routine work to notaries public or their civil law notaries (their civil law equivalent).
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