04-12-2026, 09:24 AM
Unfortunately, I can’t access the case on FTLA. Can you please show me the Particulars of Claim (PoC) for both claims. I only need to see the N1SDT claim form itself, not all the other forms that came with it. Just the page with the details and the amount they are claiming.
When you send your N180 for this claim #2, attach a pdf letter as advised below. The point is that ParkingEye, through its bulk litigators, DCB Legal, has issued a second separate claim against the same defendant concerning the same vehicle and the same location whilst the first claim is already live. That is an abuse of process.
The purpose of the letter is to put the court on notice of that duplication now, without inviting consolidation and without incurring the cost or inconvenience of seeking to amend the defence at this stage.
When you send your N180 for this claim #2, attach a pdf letter as advised below. The point is that ParkingEye, through its bulk litigators, DCB Legal, has issued a second separate claim against the same defendant concerning the same vehicle and the same location whilst the first claim is already live. That is an abuse of process.
The purpose of the letter is to put the court on notice of that duplication now, without inviting consolidation and without incurring the cost or inconvenience of seeking to amend the defence at this stage.
Quote:Claim No: [second claim number]
Related Claim No: [first claim number]
Parties: [Claimant] v [Defendant]
Dear Sir or Madam,
Please find enclosed the Defendant’s completed Directions Questionnaire in respect of the above claim.
The Defendant also respectfully draws the Court’s attention to the fact that this is a second claim issued by the same Claimant against the same Defendant concerning the same vehicle and the same location, namely Aspire Leisure Centre, Stanmore, whilst a previous claim is already live under claim number [first claim number].
The Defendant’s position is that this later claim is duplicative and abusive. It appears that the Claimant, a serial bulk litigant acting by solicitors who issue parking claims in bulk, has chosen to split matters across multiple separate claims rather than bring them together, if at all. That approach places the Defendant under unnecessary additional burden and is contrary to the proper and efficient conduct of litigation.
The Defendant respectfully asks that this letter be placed on the court file and that the Court note the existence of the earlier live claim when considering directions and allocation in this second matter.
Yours faithfully,
[Defendant’s name]
[Defendant’s address]
[Defendant’s email]
Never argue with stupid people. They will drag you down to their level and then beat you with experience. - Mark Twain

