Bryan Carter is Claim through Northampton CCBC for Lowell.
I have just one day to write and submit my defence to MCOL online. I don't want to repeat what I have read on here. Clearly the debt is :
1. under £800; &
2. a credit card a/c with HBOS but last payment was in 2007...CLEARLY no other contact since
3.Stutute Barred
Claim form says:
1)THIS CLAIM IS FOR £xxx.xx THE AMOUNT DUE UNDER AN AGREEMENT BETWEEN THE ORIGINAL CREDITOR AND THE DEFENDANT TO PROVI
2)THIS DEBT WAS ASSIGNED TO/PURCHASED BY Lowell ON xx/xx/2012 AND NOTICE SERVED PURSUANT TO THE LAW OF PROPERTY ACT 1925
(*no notice served to me...I moved house 5yrs ago)
3) PARTICULARS
RE: HBOS PLC
A/C NO.............XXXXX
4) AND THE CLAIMANT CLAIMS £ XXX
5) THE CLAIMAMNT ALSO CLAIMS INTEREST PURSUANT TO S69 COUNTY COURT ACT 1984 FROM ---DATE-----DATE AT 8% P.A AMOUNTING TO £XXX.00
Now my question is how do I defend THIS COURT CLAIM ( note the facts *)
I have just one day to write and submit my defence to MCOL online. I don't want to repeat what I have read on here. Clearly the debt is :
1. under £800; &
2. a credit card a/c with HBOS but last payment was in 2007...CLEARLY no other contact since
3.Stutute Barred
Claim form says:
1)THIS CLAIM IS FOR £xxx.xx THE AMOUNT DUE UNDER AN AGREEMENT BETWEEN THE ORIGINAL CREDITOR AND THE DEFENDANT TO PROVI
2)THIS DEBT WAS ASSIGNED TO/PURCHASED BY Lowell ON xx/xx/2012 AND NOTICE SERVED PURSUANT TO THE LAW OF PROPERTY ACT 1925
(*no notice served to me...I moved house 5yrs ago)
3) PARTICULARS
RE: HBOS PLC
A/C NO.............XXXXX
4) AND THE CLAIMANT CLAIMS £ XXX
5) THE CLAIMAMNT ALSO CLAIMS INTEREST PURSUANT TO S69 COUNTY COURT ACT 1984 FROM ---DATE-----DATE AT 8% P.A AMOUNTING TO £XXX.00
Now my question is how do I defend THIS COURT CLAIM ( note the facts *)
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