I have started a Professional Negligence Claim against Divorce Solicitors.
the Defendants have made an application for a strike out of the claim for lateness of service
failing that an application for summery Judgement on the grounds of no reasonable grounds for bringing or defending the claim. And if the claim proceeds a conditioning order to pay 20% of the value of the claim into court.
also they say the claim is statute bared.
I have been granted remission for court fees due to being in receipt of benefits to pursue this claim and have no funds to pay into court. what can i do, and how do i do it?
to defend the application i want change Particulars of Claim but with the same issues in greater detail. Is it allowed to provide a new particulars of claim?
the Defendants have made an application for a strike out of the claim for lateness of service
failing that an application for summery Judgement on the grounds of no reasonable grounds for bringing or defending the claim. And if the claim proceeds a conditioning order to pay 20% of the value of the claim into court.
also they say the claim is statute bared.
I have been granted remission for court fees due to being in receipt of benefits to pursue this claim and have no funds to pay into court. what can i do, and how do i do it?
to defend the application i want change Particulars of Claim but with the same issues in greater detail. Is it allowed to provide a new particulars of claim?