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Messages - mistermer

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I'm not very knowledgeable in those sort of things. How would I take it to POPLA?

Should I also send my original notice?

2
Hi, I have received this email on the 8th of January and didn't notice it until now.

It went to spam for some reason, which is the reason why I missed this email.

https://ibb.co/8DcpPtLV

The link above seems not to be working so there is another link just in case: https://freeimage.host/i/fb8yeEb

3
Private parking tickets / Re: DCBL Private parking (eurocarparks)
« on: February 06, 2026, 04:31:20 pm »
Hi, so I have done all the above and still had no response from them until 7 days ago.

On the 30th of January I got this response from them: https://ibb.co/hxfV4qLg

The link above seems not to be working so there is another link just in case: https://freeimage.host/i/fbSoIee

4
Ignore the "mugs discount". If you don't want to pay a penny to UKPC then follow the advice I give you here. I can guarantee that with greater than 99.9% certainty.

There is no legal obligation on the known keeper (the recipient of the Notice to Keeper (NtK)) to reveal the identity of the unknown driver and no inference or assumptions can be made.

The NtK is not compliant with all the requirements of PoFA which means that if the unknown driver is not identified, they cannot transfer liability for the charge from the unknown driver to the known keeper.

Use the following as your appeal. No need to embellish or remove anything from it:

Quote
I am the keeper of the vehicle and I dispute your 'parking charge'. I deny any liability or contractual agreement and I will be making a complaint about your predatory conduct to your client landowner.

As your Notice to Keeper (NtK) does not fully comply with ALL the requirements of PoFA 2012, you are unable to hold the keeper of the vehicle liable for the charge. Partial or even substantial compliance is not sufficient. There will be no admission as to who was driving and no inference or assumptions can be drawn. UKPC has relied on contract law allegations of breach against the driver only.

The registered keeper cannot be presumed or inferred to have been the driver, nor pursued under some twisted interpretation of the law of agency. Your NtK can only hold the driver liable. UKPC have no hope at POPLA, so you are urged to save us both a complete waste of time and cancel the PCN.


Hi, thank you for your help. So I have done that and 3 days ago I received this email from them. https://ibb.co/2r9pj1n


What is my next step?

5
Hi,

I am seeking help regarding an overstayed PCN that occurred in London, Friern Barnet Retail Park N11 3PW on 05/11/2025.

The driver entered the car park after the allowed times which the driver then have realised shortly after and have stayed at the car park for exactly 33 minutes until noticed that on the sign it said only registered users are allowed in times between 22:30 to 8 am.

I've missed the original letter with a 14 day discounted price and have now received a final reminder letter.

6
Private parking tickets / Re: DCBL Private parking (eurocarparks)
« on: December 02, 2025, 01:47:38 am »
Hi, it was over 2 months since and I have made sure to CC myself but no response from them.

Is that normal to have no response for a whole 2 months?

7
Private parking tickets / Re: DCBL Private parking (eurocarparks)
« on: September 24, 2025, 07:25:20 pm »
Hi,

I have received this email and also got a letter which stated that they have acknowledged my defence.

Email: https://imgur.com/a/jnIpZvj

8
Private parking tickets / Re: DCBL Private parking (eurocarparks)
« on: August 18, 2025, 10:08:08 pm »
I CCed myself and also received the auto response from them.

I tried log in MCOL but can't currently as I had two government gateways IDs on the same email address and can't log in into one of them which I think is the one connected to MCOL.

I will try calling them in the morning to rectify the issue.

9
Private parking tickets / Re: DCBL Private parking (eurocarparks)
« on: August 18, 2025, 06:26:41 pm »
Hi, it's been some time since nearly a month and I still haven't received any response from anyone. Is that normal?

10
Private parking tickets / Re: DCBL Private parking (eurocarparks)
« on: July 27, 2025, 03:59:24 pm »
Don't worry about the LoC. You now have to deal with the claim itself.

With an issue date of 8th July, you had until 4pm on Monday 28th July to submit your defence. As you have submitted an Acknowledgement of Service (AoS) before then, you now have until 4pm on Monday 11th August to submit your defence.

16.4 only defence:

Here is the defence and link to the draft order that goes with it. You only need to edit your name and the claim number. You sign the defence by typing your full name for the signature and date it. There is nothing to edit in the draft order.

When you're ready you combine both documents as a single PDF attachment and send as an attachment in an email to claimresponses.cnbc@justice.gov.uk and CC in yourself. The claim number must be in the email subject field and in the body of the email just put: "Please find attached the defence and draft order in the matter of Euro Car Parks Ltd v [your full name] Claim no.: [claim number]."

Quote
IN THE COUNTY COURT
Claim No: [Claim Number]

BETWEEN:

Euro Car Parks Ltd

Claimant

- and -

[Defendant's Full Name]


Defendant



DEFENCE

1. The Defendant denies the claim in its entirety. The Defendant asserts that there is no liability to the Claimant and that no debt is owed. The claim is without merit and does not adequately disclose any comprehensible cause of action.

2. There is a lack of precise detail in the Particulars of Claim (PoC) in respect of the factual and legal allegations made against the Defendant such that the PoC do not comply with CPR 16.4.

3. The Defendant is unable to plead properly to the PoC because:

(a) The contract referred to is not detailed or attached to the PoC in accordance with CPR PD 16.7.3(1);

(b) The PoC do not state the exact wording of the clause (or clauses) of the terms and conditions of the contract (or contracts) which is/are relied on;

(c) The PoC do not adequately set out the reason (or reasons) why the claimant asserts the defendant has breached the contract (or contracts)

(d) The PoC do not state with sufficient particularity exactly where the breach occurred, the exact time when the breach occurred and how long it is alleged that the vehicle was parked before the parking charge was allegedly incurred;

(e) The PoC do not state precisely how the sum claimed is calculated, including the basis for any statutory interest, damages, or other charges;

(f) The PoC do not state what proportion of the claim is the parking charge and what proportion is damages;

(g) The PoC do not provide clarity on whether the Defendant is sued as the driver or the keeper of the vehicle, as the claimant cannot plead alternative causes of action without specificity.

4. The Defendant attaches to this defence a copy of a draft order approved by a district judge at another court. The court struck out the claim of its own initiative after determining that the Particulars of Claim failed to comply with CPR 16.4. The judge noted that the claimant had failed to:

(i) Set out the exact wording of the clause (or clauses) of the terms and conditions relied upon;

(ii) Adequately explain the reasons why the defendant was allegedly in breach of contract;

(iii) Provide separate, detailed Particulars of Claim as permitted under CPR PD 7C.5.2(2).

(iv) The court further observed that, given the modest sum claimed, requiring further case management steps would be disproportionate and contrary to the overriding objective. Accordingly, the judge struck out the claim outright rather than permitting an amendment.

5. The Defendant submits that the same reasoning applies in this case and invites the court to adopt a similar approach by striking out the claim for the Claimant’s failure to comply with CPR 16.4.

Statement of truth

I believe that the facts stated in this Defence are true. I understand that proceedings for contempt of court may be brought against anyone who makes, or causes to be made, a false statement in a document verified by a statement of truth without an honest belief in its truth.

Signed:


Date:

Draft Order for the defence


Hi, thank you for your help.

Just sent the email of the Defence and draft order in the same PDF file and got an auto reply from them saying await response in 10 days.

What are the next steps? What kind of response do I expect in 10 days?

11
Private parking tickets / Re: DCBL Private parking (eurocarparks)
« on: July 15, 2025, 12:44:17 pm »
Are there any other details needed?

12
Private parking tickets / Re: DCBL Private parking (eurocarparks)
« on: July 14, 2025, 05:48:51 pm »
Prior to the court claim I have received multiple letters from DCB that I have ignored.

When I received a letter of claim from DCB Legal I have sent them an email according to the guide but was quite late as I sent it on the 25th day of the 30 days period they have given me until they claim on me.

I was quite late with my response to the letter of claim but I was very busy and had stuff going on that I have to sort out first. Never received a reply from them either.

13
Private parking tickets / DCBL Private parking (eurocarparks)
« on: July 14, 2025, 12:48:28 am »
Hi,

I am seeking help regarding an overstayed PCN that occurred in London, Beckton Retail Park on 27/05/2024

It has been a long time since then so I truly don't remember what happened as well as who was the driver of the car at the time.

I have recently on the 08/07/2025 received a Claim form and I have already submitted the AoS today 14/07/2025 according to the guide.

I would appreciate your guidance on how to proceed.

Thank you.


Also I have attached the claim form below.

[ Guests cannot view attachments ]

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