Im wondering if my defence is good enough to stand up in court and not get torn a part :
In the Northampton County Court Business Centre
Claim No:
HOIST PORTFOLIO HOLDING LTD :
Claimant
And
xxxxx
Defendant
DEFENCE
1. I would like it noted on the court file, I responded to the Claimants Solicitors letter, dated xx/05/17, with the attached Pre Action Conduct letter, dated xx/05/17, requesting further information regarding the alleged debt. The Pre Action Conduct request was signed for on the xx/05/17 by xxxx.
2. To date this letter has been totally ignored by Howard Cohen & Co, the claimants solicitor. To ignore such a request, which was clearly received, and proceed with a claim is, in my opinion, an abuse of the court process.
3. I have also sent a further request for information on the xx/07/17, as well as a request under Section 78.1 of the Consumer Credit Act to the claimant enclosing the statutory £1 fee, to date both requests have been ignored, rendering this claim, under Section 78.6 of the Consumer Credit Act, unenforceable against me.
4. Each and every allegation in the Claimants statement of case is denied unless specifically admitted in this Defence.
5. The Defendant denies monies are owed to the Claimant as alleged in the Particulars of Claim and does not recognise the assertion that any debt has been Legally Assigned to the Claimant. As per Civil Procedure rules 16.5(4), it is expected that the Claimant prove the allegation (as set out in the Particulars of Claim) that the money is owed.
6. I received a notice of Pending Legal Action (see exhibit 1) from the Claimants Solicitors Howard Cohen & Co, dated xx/05/17.
7. Under the Practice Direction – Pre Action Conduct, I made a Request for Further Information (see exhibit 2) dated 21/05/17 by way of Service upon the Claimants Solicitors.
8. I posted this Request to Howard Cohen & Co by Royal Mail Signed For (Ref.xxxxxxxxGB, on 23/05/17) (see exhibit 3) and was Signed For by xxxx on xx/05/17 @ 11:12am (see exhibit 4).
9. To date, the Claimants Solicitors have failed to Acknowledge Receipt of Service of this Request for Further Information and have failed to respond to said Request.
10. On xx/xx/17 I received the claim xxxxxx,dated xx/xx/17, from the Northampton County Court Business Centre showing the Claimants total disregard for my Request for Further Information made under the Practice Direction – Pre Action Conduct as they commenced proceedings against me.
11. I returned Acknowledgment of Service on 11/07/17.
12. I sent a CPR18 Request letter dated 14/07/17 to Claimants Solicitors (see exhibit 5) asking for the following to be produced in court:
1) The Agreement/contract
2) The Notice of Assignment
3) The Default Warning letter
4) The Default Notice
13. I posted this Request to Howard Cohen & Co by Royal Mail Signed For (RefxxxxxxGB, on xx/07/17) (see exhibit 6) and was Signed For by xxxx on xx/07/17 @ 11:05am (see exhibit 7).
14. To date I have not received any acknowledgement of my CPR18 Request for Information, nor have any requested documents been forth coming.
15. On the xx/07/17 I sent a formal request for a copy of the original agreement to the Claimant, pursuant to section 78 of the Consumer Credit Act 1974 along with the statutory £1 fee (see exhibit 8).
16. The Claimant to date, has yet to comply with s78 (1) Consumer Credit Act 1974 and therefore by virtue of s78 (6) Consumer Credit Act 1974 cannot enforce the agreement.
17. The Claimants statement of case fails to give adequate information to enable me to properly assess my position with regards to the claim.
18. Therefore, I respectfully apply under Section 4.6(1) of the Practice Direction Pre-action Conduct for the proceedings to be Stayed with immediate effect until the Claimants comply fully with the Request for Further Information made.
19. I also respectfully request Sanctions be imposed against the Claimant under section 4.6 (2) Practice Direction Pre- Action Conduct and costs of this application be awarded to the Defendant against the Claimant.
Statement of Truth
The Defendant believes that the facts stated in this Defence are true.
Signed ________________________________
Dated ______________________________
In the Northampton County Court Business Centre
Claim No:
HOIST PORTFOLIO HOLDING LTD :
Claimant
And
xxxxx
Defendant
DEFENCE
1. I would like it noted on the court file, I responded to the Claimants Solicitors letter, dated xx/05/17, with the attached Pre Action Conduct letter, dated xx/05/17, requesting further information regarding the alleged debt. The Pre Action Conduct request was signed for on the xx/05/17 by xxxx.
2. To date this letter has been totally ignored by Howard Cohen & Co, the claimants solicitor. To ignore such a request, which was clearly received, and proceed with a claim is, in my opinion, an abuse of the court process.
3. I have also sent a further request for information on the xx/07/17, as well as a request under Section 78.1 of the Consumer Credit Act to the claimant enclosing the statutory £1 fee, to date both requests have been ignored, rendering this claim, under Section 78.6 of the Consumer Credit Act, unenforceable against me.
4. Each and every allegation in the Claimants statement of case is denied unless specifically admitted in this Defence.
5. The Defendant denies monies are owed to the Claimant as alleged in the Particulars of Claim and does not recognise the assertion that any debt has been Legally Assigned to the Claimant. As per Civil Procedure rules 16.5(4), it is expected that the Claimant prove the allegation (as set out in the Particulars of Claim) that the money is owed.
6. I received a notice of Pending Legal Action (see exhibit 1) from the Claimants Solicitors Howard Cohen & Co, dated xx/05/17.
7. Under the Practice Direction – Pre Action Conduct, I made a Request for Further Information (see exhibit 2) dated 21/05/17 by way of Service upon the Claimants Solicitors.
8. I posted this Request to Howard Cohen & Co by Royal Mail Signed For (Ref.xxxxxxxxGB, on 23/05/17) (see exhibit 3) and was Signed For by xxxx on xx/05/17 @ 11:12am (see exhibit 4).
9. To date, the Claimants Solicitors have failed to Acknowledge Receipt of Service of this Request for Further Information and have failed to respond to said Request.
10. On xx/xx/17 I received the claim xxxxxx,dated xx/xx/17, from the Northampton County Court Business Centre showing the Claimants total disregard for my Request for Further Information made under the Practice Direction – Pre Action Conduct as they commenced proceedings against me.
11. I returned Acknowledgment of Service on 11/07/17.
12. I sent a CPR18 Request letter dated 14/07/17 to Claimants Solicitors (see exhibit 5) asking for the following to be produced in court:
1) The Agreement/contract
2) The Notice of Assignment
3) The Default Warning letter
4) The Default Notice
13. I posted this Request to Howard Cohen & Co by Royal Mail Signed For (RefxxxxxxGB, on xx/07/17) (see exhibit 6) and was Signed For by xxxx on xx/07/17 @ 11:05am (see exhibit 7).
14. To date I have not received any acknowledgement of my CPR18 Request for Information, nor have any requested documents been forth coming.
15. On the xx/07/17 I sent a formal request for a copy of the original agreement to the Claimant, pursuant to section 78 of the Consumer Credit Act 1974 along with the statutory £1 fee (see exhibit 8).
16. The Claimant to date, has yet to comply with s78 (1) Consumer Credit Act 1974 and therefore by virtue of s78 (6) Consumer Credit Act 1974 cannot enforce the agreement.
17. The Claimants statement of case fails to give adequate information to enable me to properly assess my position with regards to the claim.
18. Therefore, I respectfully apply under Section 4.6(1) of the Practice Direction Pre-action Conduct for the proceedings to be Stayed with immediate effect until the Claimants comply fully with the Request for Further Information made.
19. I also respectfully request Sanctions be imposed against the Claimant under section 4.6 (2) Practice Direction Pre- Action Conduct and costs of this application be awarded to the Defendant against the Claimant.
Statement of Truth
The Defendant believes that the facts stated in this Defence are true.
Signed ________________________________
Dated ______________________________
Comment