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Jazz52

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  1. Hi there. Hoping somebody out there can advise me. I have an ongoing case against NAtwest and the court has ordered amended particulars of claim. Does anybody know how I ought to submit these as my first attempt after advice from court staff has been thrown out and I'm desperate that this doesn't happen again! Look forward to hearing from someone Jazz52
  2. Hi Bennyowen Thanks you for getting back to me so swiftly. I sent a schedule of charges to the bank with interest which I calculated and the figure owed is calculated from statements and they then sent the case to Cobbetts who I believe are using delaying tactics as they said they are not in receipt of the information. I then received the general form of judgment or order mentioned and I do not know what they mean when they refer to CPR 16.4 (1) AND CPR 16.5. I used the template letters from Martin Lewis's site and do not know how to simplify those letters into plain english. The court has said that they will strike out the claim if I do not do this. Any advice you/anybody can give would be greatly appreciated. Jazz xx
  3. Hi there everybody! I was wandering if anybody could advise me as to what to do as I am currently trying to reclaim £3000 from NATWEST and they have filed a defence. Their solicitor Cobbetts is requesting info I already sent and now the County Court have sent a general form of judgment or order asking for the claim to be stayed as it makes no serious attempt to comply with CPR 16.4(1) by setting out a concise statement of the facts as stylised particulars do not copnstitute compliance. I have been asked to amend or substitute my POC by setting it out in plain english or my claim will be struck out. However, if I comply with this, under CPR 16.5 the defence has permission to file and serve an amended defence setting out its claim in plain english. I have searched extensively for somebody who has been in a similar position as I don't know how to proceed and am very worried. Please could anybody advise? Many thanks Jazz xxx
  4. Hi there everybody! I was wandering if anybody could advise me as to what to do as I am currently trying to reclaim £3000 from NATWEST and they have filed a defence. Their solicitor Cobbetts is requesting info I already sent and now the County Court have sent a general form of judgment or order asking for the claim to be stayed as it makes no serious attempt to comply with CPR 16.4(1) by setting out a concise statement of the facts as stylised particulars do not copnstitute compliance. I have been asked to amend or substitute my POC by setting it out in plain english or my claim will be struck out. However, if I comply with this, under CPR 16.5 the defence has permission to file and serve an amended defence setting out its claim in plain english. I have searched extensively for somebody who has been in a similar position as I don't know how to proceed and am very worried. Please could anybody advise? Many thanks Jazz xxx
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