Re: Cabot Financial (UK) Limited V. GarlickFiend
FYI, This is a copy of what I sent to Restons:
5th May 2015
Restons Solicitors Limited
Trinity Chambers
800 Mandarin Court
WA1 1GG
Dear Sirs,
Claim Number: ********
Request for documents mentioned in a statement of case under CPR 31.14
On 10/04/2015 I received a County Court claim from yourselves of which I have acknowledged receipt indicating my
intention to defend in full.
To enable me to file my defence and/or counterclaim, I require inspection of documents you mention in your statement of case ahead of filing my defence on 11th May 2015.
PARTICULARS: a/c no ********
In accordance with CPR 31.15(c) I undertake to be responsible for your reasonable copying costs incurred in complying with this CPR 31.14 request.
You should note that this claim has not yet been allocated to a specific track and the provisions of CPR 27(2) are of no effect. Had your claim not been issued through CCBC the Claimant would have been obliged to attach copies of the documentation upon which it relies to the Particulars of Claim. I , as Defendant, am entitled to see the documents on which the Claimant relies and which you will have to produce at trial. Disclosure at this stage will enable me to fully plead my case and further the Overriding Objective.
You should ensure compliance with your CPR 31 duties and ensure that the document(s) I have requested are copied to and received by me within 7 days of receiving this letter.
If you require more time in which to comply with this request you must tell me in writing and confirm your agreement to an extension of the time allowed for me to file my defence as allowed under CPR 15.5 so I may notify the court.
I look forward to hearing from you.
Yours sincerely
GarlickFiend
FYI, This is a copy of what I sent to Restons:
5th May 2015
Restons Solicitors Limited
Trinity Chambers
800 Mandarin Court
WA1 1GG
Dear Sirs,
Claim Number: ********
Request for documents mentioned in a statement of case under CPR 31.14
On 10/04/2015 I received a County Court claim from yourselves of which I have acknowledged receipt indicating my
intention to defend in full.
To enable me to file my defence and/or counterclaim, I require inspection of documents you mention in your statement of case ahead of filing my defence on 11th May 2015.
PARTICULARS: a/c no ********
In accordance with CPR 31.15(c) I undertake to be responsible for your reasonable copying costs incurred in complying with this CPR 31.14 request.
You should note that this claim has not yet been allocated to a specific track and the provisions of CPR 27(2) are of no effect. Had your claim not been issued through CCBC the Claimant would have been obliged to attach copies of the documentation upon which it relies to the Particulars of Claim. I , as Defendant, am entitled to see the documents on which the Claimant relies and which you will have to produce at trial. Disclosure at this stage will enable me to fully plead my case and further the Overriding Objective.
You should ensure compliance with your CPR 31 duties and ensure that the document(s) I have requested are copied to and received by me within 7 days of receiving this letter.
If you require more time in which to comply with this request you must tell me in writing and confirm your agreement to an extension of the time allowed for me to file my defence as allowed under CPR 15.5 so I may notify the court.
I look forward to hearing from you.
Yours sincerely
GarlickFiend
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