Hi,
I can only see that they have the failed to provide the following:
Ref PCN 7287545
VRN NJ67ZHA
POPLA CODE 6663650788
Dear Sirs,
I wish to appeal the above PCN as they have failed to meet the requirements of Schedule 4 of The protection of Freedoms Act 2012, namely:
I can only see that they have the failed to provide the following:
Ref PCN 7287545
VRN NJ67ZHA
POPLA CODE 6663650788
Dear Sirs,
I wish to appeal the above PCN as they have failed to meet the requirements of Schedule 4 of The protection of Freedoms Act 2012, namely:
- failing to supply the additional documents mandated by section 14 (2) (a) of the Act. Premier Park have not supplied details of who was driving the car at the time of the alleged offence.
- A copy of the hire agreement
- A copy of statement of liability signed by the hirer under that hire agreement
- They have not supplied the documents above within the prescribed 21 days
- In the notices they have sent me, Premier Park have not shown any evidence that they have any proprietary interest in the car park in question. Also, they have not provided me with any evidence that they are lawfully entitled to demand money from either driver or keeper. Premier Park’s contract with the Land owner needs to state that Premier Park are entitled to pursue matters such as the issue of Parking Charge Notices and enforce them through the courts in the land owner’s own name.
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