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       #Post#: 46102--------------------------------------------------
       Re: URGENT: PCN Buckingham Street Bham, Claim Form from court
       received 
   DIR By: b789
       Date: November 18, 2024, 1:10 pm
       ---------------------------------------------------------
       That is the form we need to see. OK... with an issue date of
       14th November, you have until Tuesday 3rd December to submit
       your Acknowledgement of Service (AoS). Follow the instructions
       in this PDF on how to submit the AoS through the MCOL website,
       which you have successfully found.
  HTML https://www.dropbox.com/s/xvqu3bask5m0zir/money-claim-online-How-to-Acknowledge.pdf?dl=0
       Once you have submitted your AoS, you then have until 4pm on
       Tuesday 17th December to submit your defence. When you've
       submitted your AoS, come back and let us know and we will
       provide you with the defence and an accompanying draft order and
       instructions on how to submit them by email.
       Do not ever anything in the defence box on the MCOL website. Not
       even a comma. Nothing.
       So, no need to rush anything.
       #Post#: 46881--------------------------------------------------
       Re: URGENT: PCN Buckingham Street Bham, Claim Form from court
       received 
   DIR By: niis11
       Date: November 24, 2024, 5:34 pm
       ---------------------------------------------------------
       Hi thank you so much so far - i really appreciate it! I have
       submitted the AoS now.
       #Post#: 47589--------------------------------------------------
       Re: URGENT: PCN Buckingham Street Bham, Claim Form from court
       received 
   DIR By: muralinatesh
       Date: November 29, 2024, 2:19 pm
       ---------------------------------------------------------
       Please update me how you get on as I have received PCN for
       flipped ticket and appeal got rejected due to the terms and
       conditions. I would like to understand if we have chance to win
       against their claim even though we paid for the parking and have
       proof.
       #Post#: 47598--------------------------------------------------
       Re: URGENT: PCN Buckingham Street Bham, Claim Form from court
       received 
   DIR By: b789
       Date: November 29, 2024, 6:52 pm
       ---------------------------------------------------------
       [member=3554]muralinatesh[/member], if you start your own
       thread, we can give you advice Taylor Ed to your specific
       situation.
       READ THIS FIRST - Private Parking Charges Forum guide
  HTML https://www.ftla.uk/private-parking-tickets/read-this-first-private-parking-charges-forum-guide/
       #Post#: 47601--------------------------------------------------
       Re: URGENT: PCN Buckingham Street Bham, Claim Form from court
       received 
   DIR By: b789
       Date: November 29, 2024, 7:04 pm
       ---------------------------------------------------------
       @nis11, here is the defence and attached draft order you should
       submit. In the defence, you only need to edit your name, the
       claim number and sign the defence by typing your full name for
       the signature and dating it. There is nothing to edit in the
       draft order.
       When done, you save both documents as pdf files and attach them
       to an email addressed to claimresponses.cnbc@justice.gov.uk and
       CC in yourself. The subject field of the email must contain the
       claim number. In the body of the email just put: “Please find
       attached the defence and accompanying draft order in the matter
       of Secure Parking Solutions Ltd v [your full name] Claim No.:
       [claim number]”.
       --- Quote ---
       > [center]IN THE COUNTY COURT[/center]
       > [right]Claim No: [Claim Number][/right]
       >
       > [center]BETWEEN:
       >
       > Secure Parking Solutions Ltd.

       > Claimant
       >
       > - and -
       >
       > [Defendant's Full Name]
       > 
Defendant
       >
       >
       ---------------------------------------------------------
       >
       > DEFENCE[/center]
       >
       >
       > 1. The Defendant denies any liability for this claim.
       >
       > 2. There is a lack of precise detail in the Particulars of
       Claim (PoC) in respect of the factual and legal allegations made
       against the Defendant such that the PoC do not comply with CPR
       16.4.
       >
       > 3. The Defendant is unable to plead properly to the PoC
       because:
       >
       > [indent](a) The contract referred to is not detailed or
       attached to the PoC in accordance with CPR PD 16(7.5);
       >
       > (b) The PoC do not state the exact wording of the clause (or
       clauses) of the terms and conditions of the contract (or
       contracts) which is/are relied on;
       >
       > (c) The PoC do not state with sufficient particularity exactly
       where the breach occurred, the exact time when the breach
       occurred and how long it is alleged that the vehicle was parked
       before the parking charge was allegedly incurred;
       >
       > (d) The PoC do not state exactly how the claim for statutory
       interest is calculated;
       >
       > (e) The PoC do not state what proportion of the claim is the
       parking charge and what proportion is damages;
       >
       > (f) The PoC states that the Claimant is suing the defendant as
       the driver or the keeper. The claimant obviously knows whether
       the defendant is being sued as the driver or the keeper and
       should not be permitted to plead alternative causes of
       action.[/indent]
       >
       > 4. The Defendant has attached to this defence a copy of an
       order made at another court which the allocating judge ought to
       make at this stage so that the Defendant can then know and
       understand the case which he/she/it faces and can then respond
       properly to the claim.
       >
       > Statement of truth
       >
       > I believe that the facts stated in this Defence are true. I
       understand that proceedings for contempt of court may be brought
       against anyone who makes, or causes to be made, a false
       statement in a document verified by a statement of truth without
       an honest belief in its truth.
       >
       > Signed:
       >
       >
       > Date:
       --- End Quote ---
       Draft Order for the defence
  HTML https://www.dropbox.com/scl/fi/z8zcqfdncdoajgj4ag6a4/short-defence-order.pdf?rlkey=at98xmfwj0ehi3w9d0ia15ogp&st=eol7sq20&dl=0
       #Post#: 47957--------------------------------------------------
       Re: URGENT: PCN Buckingham Street Bham, Claim Form from court
       received 
   DIR By: niis11
       Date: December 2, 2024, 5:50 pm
       ---------------------------------------------------------
       Hi thank you for this - can i just confirm do I need to fill out
       the following sections too?
       Dispute reasons, defence particulars, counterclaim, service
       details, summary and confirmation?
       [attachment deleted by admin]
       #Post#: 47958--------------------------------------------------
       Re: URGENT: PCN Buckingham Street Bham, Claim Form from court
       received 
   DIR By: DWMB2
       Date: December 2, 2024, 6:00 pm
       ---------------------------------------------------------
       --- Quote from: b789 link ---
       >
       > When done, you save both documents as pdf files and attach
       them to an email addressed to claimresponses.cnbc@justice.gov.uk
       and CC in yourself. The subject field of the email must contain
       the claim number. In the body of the email just put: “Please
       find attached the defence and accompanying draft order in the
       matter of Secure Parking Solutions Ltd v [your full name] Claim
       No.: [claim number]”.
       >
       --- End Quote ---
       ^^
       The defence will be filed via email rather than in MCOL
       #Post#: 47976--------------------------------------------------
       Re: URGENT: PCN Buckingham Street Bham, Claim Form from court
       received 
   DIR By: b789
       Date: December 3, 2024, 3:37 am
       ---------------------------------------------------------
       --- Quote from: niis11 link ---
       >
       > can i just confirm do I need to fill out the following
       sections too?
       > Dispute reasons, defence particulars, counterclaim, service
       details, summary and confirmation?
       >
       --- End Quote ---
       No. Only do what the document tells you to do. Do not, under any
       circumstances, try and put anything into the defence box on
       MCOL. Not even a comma. Whatever goes in that box will be the
       sum total of your defence and will be unformatted.
       There is no point in trying to overthink this. It is a well
       trodden path that we know works.
       #Post#: 48161--------------------------------------------------
       Re: URGENT: PCN Buckingham Street Bham, Claim Form from court
       received 
   DIR By: niis11
       Date: December 3, 2024, 4:46 pm
       ---------------------------------------------------------
       Hi, all done - thank you
       #Post#: 52328--------------------------------------------------
       Re: URGENT: PCN Buckingham Street Bham, Claim Form from court
       received 
   DIR By: niis11
       Date: January 7, 2025, 4:29 pm
       ---------------------------------------------------------
       Hi, I hope you are well. I have had a response via email from
       DCB Legal Ltd. They have attached a HM Courts & Tribunal Service
       N180 Directions questionnaire and this response:
       "Good morning
       Having reviewed the content of your defence, we write to inform
       you that our client intends to proceed with the claim.
       In due course, the Court will direct both parties to each file a
       directions questionnaire. In preparation for that, please find
       attached a copy of the Claimant's, which we confirm has been
       filed with the Court.
       Without Prejudice to the above, in order to assist the Court in
       achieving its overriding objective, our client may be prepared
       to settle this case - in the event you wish to discuss
       settlement, please call us on 0203 434 0433 within 7 days and
       make immediate reference to this correspondence.
       If you have provided an email address within your Defence, we
       intend to use it for service of documents (usually in PDF
       format) hereon in pursuant to PD 6A (4.1)(2)(c). Please advise
       whether there are any limitations to this (for example, the
       format in which documents are to be sent and the maximum size of
       attachments that may be received). Unless you advise otherwise,
       we will assume not."
       Please would you be able to advise? thank you
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