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Need Urgent help Please – received a letter from DCBL dated 30/04/2024 received 07/05/2024 – CCJ

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Comments

  • Stressed_Out_VG
    Stressed_Out_VG Posts: 62 Forumite
    10 Posts Name Dropper
    I attended the County Court (CC) hearing on 11/02/25 and then received a General Form of Judgement or Order in the post to say PE Ltd needed to pay me £303 back to me (which I have received) and for them to submit a Full Particular of Claim to me by 4pm - 04/03/25.

    I emailed the CC on 11/03/25 (cc'd PE Ltd) asking for the claim to be struck out as I had not heard anything from PE Ltd.

    17/03/25 - PE Ltd (County Court cc'd) sent me an email containing a pdf of correspondence that they sent to me dated 25/02/25 once again to my old address. PE Ltd must have also posted a copy of the correspondence to the CC.

    19/03/25 - I forwarded their email onto the CC to and said "I never received the letter dated 25/02/25 as I had mentioned on multiple occasions to the Claimant, I have not lived at that address since the end of November 2023. This is further proof that the Claimant has continued to act wholly unreasonably.

    This is evidence that, despite knowing that the whole point of the CCJ hearing was due to them using the old address for the claim form, they negligently breached the Judge's Order dated 17 February 2025 by (astonishingly) repeating the known improper service to the same old address. The Order is breached."

    21/03/25 - I received another Form of Judgement or Order (dated 20/03/25) to say that I must submit my Defence to the Particular of Claim by 07/04/25 to the Court and Claimant.

    Tomorrow I would like to send my defence which I shared on here (30/03/25) to the CC and cc PE Ltd. It will be a PDF version along with the other information I referred to (all pdf versions)

    Should the document be titled "Defence for Full POC dated 25/02/25"? or titled "Witness Statement" but contains my defence? 
  • Coupon-mad
    Coupon-mad Posts: 156,460 Forumite
    Part of the Furniture 10,000 Posts Name Dropper Photogenic
    Defence is just headed Defence (unless it's an amended defence?).

    If you also have exhibits, then attach them separately to a signed WS introducing them.  A separate PDF but file serve all this at once with a costs assessment for time you'll have to take off work for the upcoming claim hearing. 
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