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  1. Thank you andy Got this of Northampton Good morning Thank you for your email. I confirm the Directions Questionnaire has been received and processed. The case was transferred to W County Court on 13th February 2024. You will be contact directly from the local Court with regard to being listed for a hearing. Any further correspondence should be directed to the local court. You will receive a Notice of Transfer in the post, this will contain contact details. Kind regards CNBC Claims Response Team St Katharine’s House | 21-27 St. Katharine's Street | Northampton | NN1 2LH i await regards
  2. I sent into court N181 Perch has filled there's apparently I had a letter off perch solicitor saying they would reduce owed to 8k if I paid last week I not got lol It also said I could pay by instalments but would require an order, I have not contacted perch or their tm legal solicitors I have not contacted perch ever or their solicitor I had a email of Northampton Hi, Notes for the Court Dear Sir/Madam, I’m forwarding the below as this case is at your Court. Notes for the party Dear Sir/Madam, Thank you for your email. This case is now owned by W County Court. I’ve forwarded your email on your behalf there. Please send all future correspondence directly to the above email address. Kind Regards,
  3. Hi Andy thanks Ok now gone to local county court had a letter of tm legal Offering me to pay £8k instead of £18k I have Not contacted what please is next stage
  4. Any help fill in please just received after 5 months silence N149B to Claimant.pdf
  5. Defended heard nothing till I got this today can you help perch capital 16k Debt bought off avant N149B to Claimant.pdf
  6. Hi got this I silent thanks i await court response thanks Tm legal sent me a tree of paper work with loan stuff also another letter saying I unreasonable conduct defence frivolous and vexatious defence before the court and in letter offering 15% off I not got as only work now part-time due to health. They just trying to nerve me what happens next politely. TM Legal Begging Letter.pdf
  7. Got this what happens next Dear Sir/Madam, We act on behalf of the Claimant. We write to confirm that the Claimant wishes to proceed with the Claim. We confirm a copy has been served on the Defendant. Thank you for your kind assistance. Kind regards. TM Legal
  8. 1. The Defendant contends that the Particulars of Claim are vague and generic in nature. The Defendant accordingly sets out its case below and relies on CPR 4 16.5 (3) in relation to any particular allegation to which a specific response has not been made. 2. The Claimant has not complied with paragraph 3 of the PAPDC (Pre Action Protocol) Failed to serve a letter of claim pre claim pursuant to PAPDC changes of the 1st October 2017. It is respectfully requested that the court take this into consideration pursuant to 7.1 PAPDC. The Defendant did not receive a Letter of Claim before receiving the Claim Form from the Court. 3. Paragraph 1 is noted. I have in the past had financial dealings with Avant 4. On receipt of this claim I requested by way of a CPR 31.14 request and a section 77 request, copies of the documents referred to within the Claimant’s particulars to establish what the claim is for. 5. I am currently waiting for the Claimant to comply with my section 77 request as well as receipt of copies of the documents requested in my CPR 31.14 request. Therefore until such time the claimant is put to strict proof to: (a) show how the Defendant has entered into an agreement; and (b) show and evidence the nature of breach and service of a default notice pursuant to Section 87(1) CCA1974; and (c) show how the Defendant has reached the amount claimed for; and (d) show how the Claimant has the legal right, either under statute or equity to issue a claim. 6. As per Rule 16.5(4), it is expected that the Claimant prove the allegation that the money is owed. 7. On the alternative, as the Claimant is an assignee of a debt, it is denied that the Claimant has the right to lay a claim due to contraventions of Section 136 of the Law of Property Act and Section 82 A of the Consumer Credit Act 1974. 8. By reasons of the facts and matters set out above, it is denied that the Claimant is entitled to the relief claimed or any relief. documents referred to within the Claimant’s particulars to establish what the claim is for. .
  9. 1. The Claimant claims payment of an overdue balance in the sum of £16000 plus court fee incurred under an Avant credit unsecured loan, account number xxxxxx 2.The Defendant failed to maintain payments in line with the agreement and the account has now matured the account was then subsequently assigned to the claimant and the defendant has been given notice of the account's assignment Hello thank you defence idea 1. The Defendant contends that the Particulars of Claim are vague and generic in nature. The Defendant accordingly sets out its case below and relies on CPR 4 16.5 (3) in relation to any particular allegation to which a specific response has not been made. 2. The Claimant has not complied with paragraph 3 of the PAPDC (Pre Action Protocol) Failed to serve a letter of claim pre claim pursuant to PAPDC changes of the 1st October 2017. It is respectfully requested that the court take this into consideration pursuant to 7.1 PAPDC. 3. Paragraph 1 is noted. I have in the past had financial dealings with Avant 4. The Defendant did not receive a Letter of Claim before receiving the Claim Form from the Court. 5. The Claimant is put to strict proof to: (a) show how the Defendant has entered into an agreement; and (b) show and evidence the nature of breach and service of a default notice pursuant to Section 87(1) CCA1974; and (c) show how the Defendant has reached the amount claimed for; and (d) show how the Claimant has the legal right, either under statute or equity to issue a claim. 6. On receipt of this claim I requested by way of a CPR 31.14 request and a section 77 request, copies of the documents referred to within the Claimant’s particulars to establish what the claim is for. I am currently waiting for the Claimant to comply with my section 77 request as well as receipt of copies of the documents requested in my CPR 31.14 request. 7. As per Rule 16.5(4), it is expected that the Claimant prove the allegation that the money is owed. 8. On the alternative, as the Claimant is an assignee of a debt, it is denied that the Claimant has the right to lay a claim due to contraventions of Section 136 of the Law of Property Act and Section 82 A of the Consumer Credit Act 1974. 9. By reasons of the facts and matters set out above, it is denied that the Claimant is entitled to the relief claimed or any relief.
  10. hi thanks do i put the claimants solicitor name on the postal order or leave blank thanks again
  11. Which Court have you received the claim from ? Northampton Name of the Claimant ? Me How many defendant's joint or self ? Me Date of issue – 12 June aos done so - but I extended time within 14 days so have 10 left for defence online for full 28 days to defend Claimform.PDF
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