I have a defence to file shorthly. I have written to westotts solicitors requesting info re cpr 31.14 and cpr31.15 as regards the POC. The debt was sold to cabot.
I requested details apertaining to NOA/DN/CA and other info also.
They have written back to me saying:
You will note that CPR 31.14 (1) states that
"A party may inspect a document mentioned in -
(a) a statement of case;
(b) a witness statement ;
(c) a witness summary; or
(d) an affidavit"
They go on to state that the info I have requested does not refer to any of the following and as such have not supplied and on that basis they are not bound by my request.
They have supplied to me only:
1. CA and T&Cs provided by the CC company
2. Copy Representation of the first NOA sent to me (this I never received!)
Can you please advice as to my reply to them and the courts in my defence? This will help me greatly.
Thanks
Read more at: Legal Beagles Consumer Forum - wescott response to cpr31.14 request
I requested details apertaining to NOA/DN/CA and other info also.
They have written back to me saying:
You will note that CPR 31.14 (1) states that
"A party may inspect a document mentioned in -
(a) a statement of case;
(b) a witness statement ;
(c) a witness summary; or
(d) an affidavit"
They go on to state that the info I have requested does not refer to any of the following and as such have not supplied and on that basis they are not bound by my request.
They have supplied to me only:
1. CA and T&Cs provided by the CC company
2. Copy Representation of the first NOA sent to me (this I never received!)
Can you please advice as to my reply to them and the courts in my defence? This will help me greatly.
Thanks
Read more at: Legal Beagles Consumer Forum - wescott response to cpr31.14 request
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