Advice please:
particlars of the claim:
The driver of the vehicle with registration XXXXXXX (the vehicle) parked in breach of the terms of the parking stipulated on the signage (the contract) at multi story car park XXXXXX, on 01/04/2019. The driver of the vehicle agreed to pay the PCN within 28 days of issue yet failed to do so. The claimant claims the unpaid PCN from the defendant as the driver/keeper of the vehicle. Despite demands being made, the defendant has failed to settle their outstanding liability. The claimant claims £100 for the pcn, £60 contractual costs pursuant to the contract , together with the statutory interest of £3.19 pursuant to a59 of the county courts act 1984 at 8.00% per annum, continuing at £0.04 per day.
I received notice of this enforcement through the post.
It was given as I had not parked clearly in the lines.
However I felt that the lines were not clearly marked.
I ignored the letters and have just received these.
I have given acknowledgement of service with intent to defend all of the claim.
What do I do next please?
Many thanks
particlars of the claim:
The driver of the vehicle with registration XXXXXXX (the vehicle) parked in breach of the terms of the parking stipulated on the signage (the contract) at multi story car park XXXXXX, on 01/04/2019. The driver of the vehicle agreed to pay the PCN within 28 days of issue yet failed to do so. The claimant claims the unpaid PCN from the defendant as the driver/keeper of the vehicle. Despite demands being made, the defendant has failed to settle their outstanding liability. The claimant claims £100 for the pcn, £60 contractual costs pursuant to the contract , together with the statutory interest of £3.19 pursuant to a59 of the county courts act 1984 at 8.00% per annum, continuing at £0.04 per day.
I received notice of this enforcement through the post.
It was given as I had not parked clearly in the lines.
However I felt that the lines were not clearly marked.
I ignored the letters and have just received these.
I have given acknowledgement of service with intent to defend all of the claim.
What do I do next please?
Many thanks