chinoky
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Everything posted by chinoky
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Sorry the correct date is 20/10/2019. I appreciate the help on this matter. I know the guy needs to pull his weight together. I have had words with him on multiple occasions. The PCN is lost along with the letter of claims. Every letter before the claim form has been lost. He only knows his offense. I will read up on the other post and hopefully find some helpful info Thanks again for all your help so far.
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Name of the Claimant : Claimants Solicitors: (if one is stated) Date of issue – 04/08/202 What is the claim for – Particulars of Claim 1. The Defendant(D) is indebted to the Claimant (C) for a Parking Charge(s) issued to vehicle xxxxx at Catford Island Retail Park 2. The PCN details are xx/10/20xx xxxxxxx 3.The PCN(s) was issued on private land owned or managed by C. The vehicle was parked in breach of the Terms on Cs signs (the Contract), thus incurring the PCN(s) .4. The driver agreed to pay within 28 days but did not. D is liable as the driver or keeper. Despite requests, the PCN(s) is outstanding. The Contract entitles C to damages. AND THE CLAIMANT CLAIMS 1. £170 being the total of the PCN(s) and damages. 2. Interest at a rate of 8% per annum pursuant to s.69 of the County Courts Act 1984 from the date hereof at a daily rate of £0.02 until judgment or sooner payment. 3. Costs and court fees What is the value of the claim? £170 Amount Claimed £224.20 court fees £35 legal rep fees £50 Total Amount £309.20 Have you moved since the issuance of the PCN? (y/N - if Y state Date too) N Did you receive a letter of Claim With A reply Pack wanting I&E etc about 1mth before the claimform? Y/N + date and did you reply? N
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Hello. I asked him to reply but the the guy is so down at the moment. I will try help him as much as I can. He isn't very clued up on these things or computer capable. I signed up to MCOL and followed the instructions. I have also printed CPR 31 letter ready for the post tomorrow. I have also re scanned and posted the pdf. He told me he overstayed and ignored all the letters:( 2023-08-04 Claimform.pdf
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He is having a life crisis going through a bad divorce. I thought I help the guy out. Someone also uninsured crashed into the back of his car last week and tried driving off:( But you are correct, the info could be crossed/misunderstood if too many parties are involved. I will advised him to make a new post. 04/08/23
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Hello, I am trying to help a good friend of mine fight a claim issued by the private land operators. He has never replied to any letters and now has a claim against him. He signed up to the MCOL website, not sure what he should put in there to appeal the claim. Please help. 1 Date of the infringement 20/10/2019 2 Date on the NTK [this must have been received within 14 days from the 'offence' date] unsure [scan up BOTH SIDES as ONE PDF- follow the upload guide] please LEAVE IN LOCATION AND ALL DATES/TIMES/£'s 3 Date received 04/08/2023 4 Does the NTK mention schedule 4 of The Protections of Freedoms Act 2012? [Y/N?] unsure 5 Is there any photographic evidence of the event? unsure 6 Have you appealed? [Y/N?] post up your appeal] No Have you had a response? [Y/N?] never had any correspondence 7 Who is the parking company? Highview parking 8. Where exactly [carpark name and town] Catford Island Retail Park For either option, does it say which appeals body they operate under. BPA Highview Claimform (1).pdf
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I stupidly threw away the claim letters. I checked the MCOL and Andy is correct as it does not show any updates mentioning any alterations to the PoC. The last solicitor letter did mention it would count against me if I didn't reply. My strongest argument is I wasn't the driver and the PoC were had duplicate PCNs which resulted in overly inflated numbers. The PCNs were 51884, 51585 and 51585 (same date as first one). I called the courts and cancelled the mediation, I will get a court date soon.
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Hello All. I hope everyone had a good Christmas and New Year. I just wanted to provide a quick update on my case. Their legal team has said they will defend their client and also they want to change to particulars of claim stating a IT error. I have included all the letters i received recently in PDF form. What should be my next step now. Thank you all! 20210120_104347-2.pdf
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Hello all, I have started a draft defence. I tried to keep it simple and after much editing, i've ended up with this. Any suggestions would be warmly appreciated. 1. The registered keeper was not the driver on the dates provided by the claimant. 2. It is denied that the registered keeper parked at Chandlers Avenue, Barge Walk, Greenwich Peninsula SE10 0PE at the times mentioned in the Particulars. 3. The Particulars of Claim is denied in its entirety. It is denied that the Claimant is entitled to the relief claimed or any relief at all." 4. It is denied that the Claimant has complied with Schedule 4, Protection of Freedoms Act 2012 to establish keeper liability. 5. The Defendant has added additional amounts to the claim to try to circumvent limits on legal costs in an abuse of court procedure. C
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Afternoon all. Today I received the response back from their legal team. I'm not sure what to make of it. Response: We write further to your request pursuant to for CPR31.14 dated *****. CPR 31.14 (1) (a) allows a party to inspect a document mentioned in the statement of case However, nowhere in the claimants PoC are the documents listed in your email mentioned. Accordingly, the provisions of CPR 31.14 do not apply, and you are not entitled to inspect the document requested. Should you be insured of your legal position, you may wish to seek independent legal service. Any advice on what to reply (if I need to). Thanks everyone.