Re: Notice of impending Legal Action: 5 year old Catologue Debt
17th May + 28 days = date you put in below letter ( and letter to court )
30th April 2016
RE: Lowell Portfolio 1 Ltd -v- Mr Human Bean
Our Client: Lowell Portfolio 1 LTD Account Number: 12345678
Claim Number: 3947#### Amount Due: £2,500ish
I write in relation to the above matter.
I have received your letter in relation to my request for documents in which you note that your client has given you a minimum period of time of 45 days from the date of my request, to send the documents it is obliged to provide pursuant to the CPR.
You also state that you have notified the Court of this agreed extension of time. I am somewhat confused by this statement as I have not agreed to this extension of time, and pursuant to CPR 15.5
the defendant and the claimant may agree that the period for filing a defence specified in rule 15.4 shall be extended by up to 28 days. I am happy to agree to an extension of 28 days, as i mentioned in my letter requesting documents originally, taking us to the XXXX May 2016, however as your client set the timescales by bringing this claim, I would have expected them to already have possession of the documents required to evidence their claim and find it somewhat incongruous that they expect to bring a claim and then put it on hold for as long as they fancy while they scrabble about trying to find the documents.
Additionally, as I am sure you are already aware, the CPR states that the defendant must notify the court in writing, not the claimant. I shall inform the court that we have agreed to a 28 day extension of time pursuant to CPR 15.5 and I will be submitting my defence on the xxxxxxx May 2016. Should your client have failed to provide the documents by that time I shall consider requesting the court strike out the claim as an abuse of process.
Kind Regards
The Human Bean
17th May + 28 days = date you put in below letter ( and letter to court )
30th April 2016
RE: Lowell Portfolio 1 Ltd -v- Mr Human Bean
Our Client: Lowell Portfolio 1 LTD Account Number: 12345678
Claim Number: 3947#### Amount Due: £2,500ish
I write in relation to the above matter.
I have received your letter in relation to my request for documents in which you note that your client has given you a minimum period of time of 45 days from the date of my request, to send the documents it is obliged to provide pursuant to the CPR.
You also state that you have notified the Court of this agreed extension of time. I am somewhat confused by this statement as I have not agreed to this extension of time, and pursuant to CPR 15.5
the defendant and the claimant may agree that the period for filing a defence specified in rule 15.4 shall be extended by up to 28 days. I am happy to agree to an extension of 28 days, as i mentioned in my letter requesting documents originally, taking us to the XXXX May 2016, however as your client set the timescales by bringing this claim, I would have expected them to already have possession of the documents required to evidence their claim and find it somewhat incongruous that they expect to bring a claim and then put it on hold for as long as they fancy while they scrabble about trying to find the documents.
Additionally, as I am sure you are already aware, the CPR states that the defendant must notify the court in writing, not the claimant. I shall inform the court that we have agreed to a 28 day extension of time pursuant to CPR 15.5 and I will be submitting my defence on the xxxxxxx May 2016. Should your client have failed to provide the documents by that time I shall consider requesting the court strike out the claim as an abuse of process.
Kind Regards
The Human Bean
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