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Hail Pablo

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  1. Please can I get some advice on the best way to deal with this. The amount is nearly £4.5k. Bailiffs (Bristow & Sutor) keep coming, but have never been allowed in nor given any opportunity to gain access. I am considering applying for IVA, as this is not the only debt I have.
  2. Please see if this one will open Parking Appearance.pdf
  3. Hello All This is what my other half (He was the registered keeper at the time) has now received. Please see the attached & can anyone help me in how to move forward with this? Can I attend in my other half's place, as he's not good in these environments?
  4. Hi All I found out last night I wasn't the driver at the time ??? Do I just carry on with how far I've got now?? As you may have already gathered, I'm not very good with all this & is a very steep learning curve for me. I've not been able to find the SAR template. Can you point me in the right direction please? or do I need this as I was not the driver at the time??
  5. What will their next attack likely to be? From what I can gather these unscrupulous people have taken advantage of some court action which went in favour of these parasites & are also trying to make retrospective claims too??
  6. Hi DX, I meant the DQ. I've done what you advised. Thank you so much for all the support given
  7. FTMDave A neighbour with a similar address to us has recently brought quite a bit of our mail which has been misdel to them & this notice was in this. However, there was no previous order in there ??
  8. Chromebook. I seem to be going in circles !! The only defence / info I can find for completing the particulars of claim< which I did ages ago & now have this General Form of Judgement or Order. One page & It reads as follows: Claimant Defendant directions questionaire.odt
  9. I haven't DX, I've been using the one in the red banner !!! Could you direct me please?
  10. Hi DX Thank you for coming back to me so quickly. I did try a number of searches before I asked for help, but was unable to find any posts with the search words I entered. I will try what you have suggested to search, pcn claimform
  11. Hi All Thank you for you recent help & now need your further guidance. The court has issued a direction for a questionnaire to be filed with CCBC? What do I need to do please?
  12. Hi DX MCOL has already been done. There is no other paperwork whatsoever. I take it the next step will now be to enter the defence? is this defence suitable:- The Defendant contends the particulars of are claim vague and generic in nature which fails to comply with CPR 16.4. The Defendant accordingly sets out its case below and relies on CPR r 16.5 (3) in relation to any particular allegation. 1. A contract was never entered into by me. As held by the Upper Tax Tribunal in Vehicle Control Services Limited v HMRC [2012] UKUT 129 (TCC), any contract requires offer and acceptance. The Claimant clearly states they were only contracted to provide car park management services, therefore is not capable of entering into a contract with the Defendant on its own account. The car park is owned by and terms of entry, set by the landowner. 2. It is admitted Defendant is the recorded keeper of the vehicle. The claimant is not in a position to state who the driver was at the time. 3. There are no contractual costs and interest cannot be accrued on a speculative charge. The Particulars of Claim is denied in its entirety. It is denied the Claimant is entitled to the recovery or any recovery at all. Thanks for your help.
  13. Name of the Claimant : Civil Enforcement Limited Horton House Exchange Flags Liverpool L2 3PF Claimants Solicitors: Date of issue – 13 OCT 2021 Date for AOS - 05/11/2021 Date to submit Defence - 12/11/2021 What is the claim for – 1,.Claim for money relating to a Parking Charge for breach of contract terms/conditions (TC's) for parking in private car park (CP) managed by the Claimant. 2.Drivers may only park pursuant to TC's of use displayed in CP and agreed upon entry/parking. 3. ANPR camera or manual patrols monitor vehicles entering/exiting the CP and TC breaches. Charges of GBP 182.00 claimed. Violation date:- 30/09/2020. Time in 17:05 Time out: 17:37. Total Due - GBP 182.00 The claimant claimed the sum of GBP197.04 for the unpaid parking charge inc GBP15.04 interest under S.69 of the CCS 1984 Rate:8.00% pa from the due date to - 12/10/21 Same rate to Judgment or sooner payment at daily rate if - GBP0.04. Total dept and interest due - GBP197.04 What is the value of the claim? Amount Claimed 197.04 court fees 35.00 legal rep fees 50.00 Total Amount 282.04 ^^^^^^^copy and paste the above to your topic^^^^^^^
  14. Please can my defence be reviewed. any guidance or amendments will be gratuitously received. The Defendant contends the particulars of are claim vague and generic in nature which fails to comply with CPR 16.4. The Defendant accordingly sets out its case below and relies on CPR r 16.5 (3) in relation to any particular allegation. 1. A contract was never entered into by me. As held by the Upper Tax Tribunal in Vehicle Control Services Limited v HMRC [2012] UKUT 129 (TCC), any contract requires offer and acceptance. The Claimant clearly states they were only contracted to provide car park management services, therefore is not capable of entering into a contract with the Defendant on its own account. The car park is owned by and terms of entry, set by the landowner. 2. It is admitted Defendant is the recorded keeper of the vehicle. The claimant is not in a position to state who the driver was at the time. 3. There are no contractual costs and interest cannot be accrued on a speculative charge. The Particulars of Claim is denied in its entirety. It is denied the Claimant is entitled to the recovery or any recovery at all.
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