Re: Bournes Debt Solutions (Bournes Limited) - FCA requirements & administration
Dear Sir / Madam,
I attach two documents for your records.
The first is the notice giving all client creditors a final time period to supply their claim documents by 3 November 2016 – and not later. Please read this carefully and note we will not be answering telephone calls concerning any update. We may take telephone calls on how you submit your claims only. The notice sets out where to send your papers.
The notice only relates to clients who have not previously submitted anything to my firm.
The second attachment is the Administrator’s final progress report concerning the end of the Administration. The Administration was converted to a Creditors’ Voluntary Liquidation in accordance with your approval on 1 September 2016. The purpose of the liquidation is to make this distribution and also to further any action to recover money and complete investigations.
We look forward to hearing from those who have not previously claimed only.
Please be aware that we are entitled to draw costs of distribution from the funds we hold and that any communications that require us to carry out work concerning assessment of claims and payment of distributions are valid charges under the FCA regulations. So it is imperative that you supply clear and concise documents in order to reduce costs.
Dear Sir / Madam,
I attach two documents for your records.
The first is the notice giving all client creditors a final time period to supply their claim documents by 3 November 2016 – and not later. Please read this carefully and note we will not be answering telephone calls concerning any update. We may take telephone calls on how you submit your claims only. The notice sets out where to send your papers.
The notice only relates to clients who have not previously submitted anything to my firm.
The second attachment is the Administrator’s final progress report concerning the end of the Administration. The Administration was converted to a Creditors’ Voluntary Liquidation in accordance with your approval on 1 September 2016. The purpose of the liquidation is to make this distribution and also to further any action to recover money and complete investigations.
We look forward to hearing from those who have not previously claimed only.
Please be aware that we are entitled to draw costs of distribution from the funds we hold and that any communications that require us to carry out work concerning assessment of claims and payment of distributions are valid charges under the FCA regulations. So it is imperative that you supply clear and concise documents in order to reduce costs.
Comment