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Coupon-mad Posts: 134,236 Forumite
10 June at 2:21PM
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And there's no 's' in the word defence.
PRIVATE 'PCN'? DON'T PAY BUT DON'T IGNORE IT (except N.Ireland).
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Forum Home»Motoring»Parking Tickets Fines & Parking - read the NEWBIES THREADAlixman984 Posts: 38 Forumite
10 June at 3:39PM edited 10 June at 3:41PM
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I cant find the county court email address anywhere on internet. apologies for this
and now that I am very late, I will try and at least attach the Excel vsWilkinson: G4QZ465V as an exhibit but i have no idea where to find it. nothing comes up on google
KeithP Posts: 38,227 Forumite
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Alixman984 said:
I cant find the county court email address anywhere on internet.
Google court finder.
Coupon-mad Posts: 134,236 Forumite
10 June at 3:49PM
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So the Claimants didn't show it in the email headers when they emailed you their bundle?
And you haven't managed to get through to your local court to ask which email address to use (I assume they aren't answering)?
I don't know why you are Googling for two cases easily searched for on this forum.
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Forum Home»Motoring»Parking Tickets Fines & Parking - read the NEWBIES THREADAlixman984 Posts: 38 Forumite
10 June at 3:54PM
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Thank you I found the Southampton County Court:
Coupon-mad Posts: 134,236 Forumite
10 June at 3:56PM edited 10 June at 3:58PM
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OK get it emailed and cc in the solicitor right now. You can always add the transcripts later this week attached to a skeleton argument.
Make sure you are sending a signed & dated PDF and your other exhibits.
Double check the claim number and the time/date of hearing you MUST put in your subject line starting with the word URGENT.PRIVATE 'PCN'? DON'T PAY BUT DON'T IGNORE IT (except N.Ireland).
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Forum Home»Motoring»Parking Tickets Fines & Parking - read the NEWBIES THREADLDast Posts: 599 Forumite
10 June at 4:07PM
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Why didn't you include the preliminary item that the Claimants WS is signed by a paralegal/solicitor and so does not comply with CPR 32.4 and PD 32(18.2)which require that a witness statement be made by an individual with direct knowledge of the facts?
“Never argue with stupid people. They will drag you down totheirlevel and then beat you with experience” - Mark Twain
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Alixman984 Posts: 38 Forumite
10 June at 4:10PM
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LDast said:
Why didn't you include the preliminary item that the Claimants WS is signed by a paralegal/solicitor and so does not comply with CPR 32.4 and PD 32(18.2)which require that a witness statement be made by an individual with direct knowledge of the facts?
Hi LDast, I did in the final version of the WS under a paragraph
mixed it with the Civil Enforcement Limited v Chan
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Alixman984 Posts: 38 Forumite
15 June at 9:03PM
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Coupon-mad said:
You can always add the transcripts later this week attached to a skeleton argument.
Thanks Coupon-mad, I have been searching this forum about skeleton argument and unfortunately I have no found any details about what it is and how I can submit it. Would you kindly point me to the right direction?
I have also been searching all over this forum and on internet to find the transcripts for CivilEnforcement Limited v Chan (Ref. E7GM9W44) and K3GF9183 (Parallel Parking v anon); the only website I could find was Lexis which was paid; before paying a few quid I just wanted to make sure that's the correct route?
KeithP Posts: 38,227 Forumite
15 June at 9:23PM
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Alixman984 said:
I have also been searching all over this forum and on internet to find the transcripts for CivilEnforcement Limited v Chan (Ref. E7GM9W44) and K3GF9183 (Parallel Parking v anon); the only website I could find was Lexis which was paid; before paying a few quid I just wanted to make sure that's the correct route?But the template Defence thread has these words...
Most claims do not even state the alleged breach. If yours doesn't state what the breach was, add the paragraphs and judgments seen in the defence by@hharry100here:
https://forums.moneysavingexpert.com/discussion/comment/80343627/#Comment_80343627and change the paragraph numbering.OK, it doesn't mention Chan by name, but the clues are there.
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