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MAY78

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About MAY78

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  1. Here is the copy of the defence i used.. hope it isn't too bad. came across this forum after i had submitted the defence. 1: I received the claim xxxxxxx from the Northampton County Court dated [inserted date]. 2: Each and every allegation in the Claimants statement of case is denied unless specifically admitted in this Defence. 3: This claim appears to be for a Loan agreement regulated under the Consumer Credit Act 1974. 4: The Claimants statement of case fails to give adequate information to enable me to properly assess my position with regards to the claim.
  2. It wasn't actually. Got it by doing a google search.
  3. Yes I acknowledged it and have also made a CCA and CPR 31.14 request. I haven't heard from Arrow yet regarding the CCA request however Restons declined to honour my request. On the 19th of September I submitted my defence online. I am currently waiting to hear from both Arrow and restons. I defended on the ground that statement of case fails to give adequate information to enable me to properly assess my position with regards the claim. I used a standard template I got online and amended it to reflect my case. I am yet to hear from the claimant. The
  4. Name of the Claimant ? Arrow Global limited Date of issue – 19 August 2016 What is the claim for – 1.The claimant claims payment of the overdue balance due from the defendant (s) under a contract between the defendant (s) and Egg dated on or about Nov 23 2006 and assigned to the claimant on Nov 30 2015. Particulars a/c no xxxxxx. Date 28/06/2016 item default balance value £6800 post refrl cr nil What is the value of the claim? £6800 Is the claim for a current account (Overdraft) or credit/loan account or mobile phone account? loan Whe
  5. Hi Everyone I received a County court claim from restons solicitors on behalf of Arrow global for an old egg loan. I sent a CPR 31.14 request to restons and a CCA request to Arrow global. I haven't heard from Arrow global yet however Restons solictors have sent a reply refusing to comply with the CPR 31.14 request stating that i would have been provided with a copy of the contractual terms and conditions at the time the account was opened hence they see no reason why i would now require an additional copy and also the other documents i have requested are not men
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