a) Requests for documentation - needs to be numbered 1 - 9
b) (see proof pic 2 court defence receipt letter) - should read (see Exhibit A, page 1). You will compile an Evidence Bundle, each piece of evidence will be given a letter of the alphabet and a page no.
You don't want any gaps in your evidence.
c) You can add these to the end of the Evidence Bundle, they are only relevant if the Creditors says we didn't receive this or that document.
d) Quality and Accuracy of Provided Documents - I noted that the reproduced Consumer Credit Agreement was of poor quality. Change poor quality to 'illegible'.
Remove the following completely -'There is a thick line running through my personal details, including my name and address, which renders parts of the document difficult to read.'. Remove 'Poor Quality Credit Agreement;
e) Under Lift of Stay you are updating the timeline from when the end of the 2 years 7 months i.e. On XXth XXXX XXXX I received from XXXXXX County Courts XXXXX form, On XX the Claimant sent the following document etc.
Then there is more to do. We will get this done.
-----------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
Witness Statement of ===========
Claim No: ========
In the County Court at: Leeds County Court
Between:
Cabot Financial – Claimant
and
============== – Defendant
Witness Statement of XXXXXXXX XXXXXXX
I, ======== of ======= being the Defendant in this claim, make this statement in support of my position in these proceedings. The matters set out below are within my own knowledge, unless otherwise stated, and are true to the best of my knowledge and belief.
Background
Requests for Documentation
Quality and Accuracy of Provided Documents
Application to 'Lift of Stay'
1.
2.
3.
4.
etc.
b) (see proof pic 2 court defence receipt letter) - should read (see Exhibit A, page 1). You will compile an Evidence Bundle, each piece of evidence will be given a letter of the alphabet and a page no.
You don't want any gaps in your evidence.
c) You can add these to the end of the Evidence Bundle, they are only relevant if the Creditors says we didn't receive this or that document.
d) Quality and Accuracy of Provided Documents - I noted that the reproduced Consumer Credit Agreement was of poor quality. Change poor quality to 'illegible'.
Remove the following completely -'There is a thick line running through my personal details, including my name and address, which renders parts of the document difficult to read.'. Remove 'Poor Quality Credit Agreement;
e) Under Lift of Stay you are updating the timeline from when the end of the 2 years 7 months i.e. On XXth XXXX XXXX I received from XXXXXX County Courts XXXXX form, On XX the Claimant sent the following document etc.
Then there is more to do. We will get this done.
-----------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
Witness Statement of ===========
Claim No: ========
In the County Court at: Leeds County Court
Between:
Cabot Financial – Claimant
and
============== – Defendant
Witness Statement of XXXXXXXX XXXXXXX
I, ======== of ======= being the Defendant in this claim, make this statement in support of my position in these proceedings. The matters set out below are within my own knowledge, unless otherwise stated, and are true to the best of my knowledge and belief.
Background
- On the 18th of August 2022, I sent my response to the court, acknowledging the claim and informing them that I wished to dispute the claim in its entirety.
- In order to properly understand and respond to the claim, I exercised my legal rights under the Civil Procedure Rules, the Consumer Credit Act 1974, and data protection legislation to request documentation and information from the Claimant and its representatives.
Requests for Documentation
- On or around 30th August 2022 I made a formal request under Civil Procedure Rule 31.14, asking the Claimant’s solicitors, Mortimer Clarke Solicitors, to provide copies of the documents mentioned in the Particulars of Claim.
- At the same time, I also made a formal 'request under sections 78 of the Consumer Credit Act 1974' for a true copy of the Consumer Credit Agreement (CCA) relating to the alleged account along with the statutory £1 fee.
- Separately, I submitted a Subject Access Request (SAR) under the Data Protection Act 2018 / UK GDPR, requesting all personal data and documentation held about me in relation to this account.
- 3. On or around the 2nd September 2022, the Claimants solicitors replied to my written request for documents under Civil Procedure Rule 31.14, without the documents requested.
- On or around the 6th of September 2022, I submitted my defence to the court.
- 5. On or around the 7th of September 2022, I received a letter from the court, acknowledging receipt of my defence and stating that the claimant must respond within 28 days of receiving a copy of the defendants defence after this the claim will be stayed. (see proof pic 2 court defence receipt letter)
- On or around the 08 August 2022, the Claimants solicitors replied to my written request, without the requested documents, and stated that the matter had been placed on hold and no further action would be taken.
- Despite these lawful and reasonable requests, the Claimant’s solicitors failed to comply in a timely manner. It took 2 years 7 months for Mortimer Clarke Solicitors to provide the requested documents, including the CCA.
- This prolonged delay prevented me from being able to review the evidence against me or prepare a proper defence within a reasonable time.
Quality and Accuracy of Provided Documents
- When the documentation was finally received (On or around the 17th April 2025), I noted that the reproduced Consumer Credit Agreement was of poor quality. There is a thick line running through my personal details, including my name and address, which renders parts of the document difficult to read.
- Furthermore, the address shown on the agreement is incorrectly spelt, raising doubts about the accuracy and reliability of the reproduced document.
- I do not accept that this document represents a true and legible copy of the executed agreement as required under section 78(1) of the Consumer Credit Act 1974. [EXHIBIT C Poor Quality Credit Agreement].
Application to 'Lift of Stay'
1.
2.
3.
4.
etc.


Comment