I am reviewing the WS by Jake Burgess, a well known incompetent and has a reputation amongst those of us who know of him or have to deal with his mendacious statements, as someone who has been ridiculed in court so many times, we all await his next spanking.
To start with, after a cursory review of the WS, there is a glaring error in their supposed evidence. The Claimant’s own “Payment Log” is incomplete and omits the very window they rely upon. The alleged contravention is 30/10/2024 from 13:30 to 14:11.
Paragraph 2(i) of the WS section on "the defence" (page 5) asserts that “...as evidenced by the Payment Log at ‘EXHIBIT 6’ a parking tariff was not purchased for the Vehicle on site, YK14 OEL”.
EXHIBIT 6 (pages 38-41) is headed “Allow List Export (generated on 08/08/2025)... All inactive from 30/10/2024 to 31/10/2024”, but the sequential entries jump from #93 (31/10/2024 09:30) straight to #238 (30/10/2024 13:11), leaving a void for #94–#237—i.e., the entire period between 30/10/2024 13:11 and 31/10/2024 09:30. That gap necessarily includes 30/10/2024 13:30–14:11, so the log does not evidence anything about the Defendant’s VRM in the material time.
That alone backs up my view of Jake Burgess's competence as a 'witness'.
I will get back once I've had a chance to digest more of the incompetent rubbish from this mendacious witness.
However, I need to see the PoC. The original image has been removed so please host the claim form with the PoC again. Also, please confirm that Excel are represented by DCB Legal.