Hi I received a claim form from DCBL on the 13th of Feb (form dated 10th Feb) in relation to an unpaid Parking charge dated 05/06/2019 at a university campus. I am the keeper but my son was the driver. we ignored all the correspondence as per advise on various online forums. I have read some of the threads on the forum. I have completed the acknowledgment of service. As I do not have a record of any of the document, I have sent a SAR to First Parking (not likely to get this in time) and tried to ring DCBL who refused to send them to me at this point and would send them when the court requested them. I am in the process of writing to them to request the documents under CPR 31.14 and needed help with identifying what documents I should request. I will also appreciate all the help I can get to prepare my defence.
The Particulars of the Claim are as follows:
1. The Defendant (D) is indebted to the Claimant (C) for a Parking Charge issued to a vehicle XXXXX at De montfort university main car park.
2. The PCN details are 05/06/2019 16170xxxxxx
3. The PCN was issued on private land owned or managed by C. The vehicle was parked in breach of the terms on C's signs (the contract), thus incurring the PCN.
4. The driver agreed to pay within 28 days but did not. D is liable as the driver or keeper. Despite requests, the PCN is outstanding. The contract entitles C to damages.
AND THE CLAIMANT CLAIMS
1. £140 being the total of the PCN and damages
2. Interest at the rate of 8% per annum pursuant to s.69 of the County Courts Act 1984 from the date hereof at a daily rate of £0.03 until judgment or sooner payment.
4 Cost and court fees
thanking you for your help in anticipation.
The Particulars of the Claim are as follows:
1. The Defendant (D) is indebted to the Claimant (C) for a Parking Charge issued to a vehicle XXXXX at De montfort university main car park.
2. The PCN details are 05/06/2019 16170xxxxxx
3. The PCN was issued on private land owned or managed by C. The vehicle was parked in breach of the terms on C's signs (the contract), thus incurring the PCN.
4. The driver agreed to pay within 28 days but did not. D is liable as the driver or keeper. Despite requests, the PCN is outstanding. The contract entitles C to damages.
AND THE CLAIMANT CLAIMS
1. £140 being the total of the PCN and damages
2. Interest at the rate of 8% per annum pursuant to s.69 of the County Courts Act 1984 from the date hereof at a daily rate of £0.03 until judgment or sooner payment.
4 Cost and court fees
thanking you for your help in anticipation.
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