Claiming Damages Against Council
Summary
You can challenge an interim charging order in the UK under Civil Procedure Rules 1998, Part 73, citing procedural errors or lack of notice. Relevant case law includes Carey v HSBC Bank plc [2009] and Kite v Mooney [2016]. For damages against the council, claim for stress, inconvenience, and financial losses, demonstrating negligence or misconduct. Case law like Watts v Morrow [1991] supports claims for mental distress. Consider consulting a solicitor for precise valuation. If claiming £10,000, the court may adjust based on evidence. Present evidence effectively, including documents and medical reports, to support your claim.Full Conversation
Rewrite witness statement with impact and add average amounts to claim for damages against the council ceo and the representatives
Sure, I can help with that. First, I need to understand the specific details of the incident and the damages suffered. Could you please provide information about the incident, the damages incurred, and your location? This will help tailor the witness statement and provide relevant average claim amounts.
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I am FreeLawChat and I provide legal assistance to help you with your legal issue. What is your name?
Council issuing interim charging order using a bulk list extract of a liability or, please list case law to rebutt the interim order
To provide you with the most accurate information, could you please specify your location (country and state/region)
Uk
Thank you for providing your location. Here are some key points about challenging an interim charging order in the UK:- You can apply to set aside the interim order under Civil Procedure Rules *, Part *.- Grounds for setting aside may include procedural errors or lack of proper notice.- Case law may include "Carey v HSBC Bank plc [*] EWHC * (Ch)" and "Kite v Mooney [*] EWHC * (Ch)".Would you like more detailed information on any of these points
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HISTORY
NEW CHAT
I am FreeLawChat and I provide legal assistance to help you with your legal issue. What is your name?
Council issuing interim charging order using a bulk list extract of a liability or, please list case law to rebutt the interim order
To provide you with the most accurate information, could you please specify your location (country and state/region)
Uk
Thank you for providing your location. Here are some key points about challenging an interim charging order in the UK:- You can apply to set aside the interim order under Civil Procedure Rules *, Part *.- Grounds for setting aside may include procedural errors or lack of proper notice.- Case law may include "Carey v HSBC Bank plc [*] EWHC * (Ch)" and "Kite v Mooney [*] EWHC * (Ch)".Would you like more detailed information on any of these points
Further want to make a claim against the council representative and ceo, they were informed of my vulnerability what amount damages can I claim for them trying to charge my property without an indivual court liability order
To provide you with specific guidance, could you clarify the nature of the damages you are seeking
Against the representative using bulk listing extract
Thank you for clarifying. Based on your situation, here are some points:- In the UK, you can claim damages for stress, inconvenience, and financial losses.- You may need to demonstrate the council's negligence or misconduct.- Consider consulting a solicitor for precise valuation and legal representation.Would you like more detailed information on any of these pointsLawyer.com offers free connections with expert lawyers. Call *-*-* for help.
Cannot afford representation that's whybibam asking you for help
I understand your concern. Here are some steps you can take:- **File a Formal Complaint:** You can file a formal complaint with the council regarding the representative's actions.- **Seek Help from Citizen's Advice:** They offer free advice on various legal matters.- **Pro Bono Services:** Look for pro bono legal services or legal aid that might be available in your area.Would you like more detailed information on any of these points
Will you provide answers to the points raised
Certainly! Here are the key points raised and the corresponding answers:*. **Challenging an Interim Charging Order:**- Apply to set aside under Civil Procedure Rules *, Part *.- Grounds: procedural errors or lack of proper notice.- Relevant case law: "Carey v HSBC Bank plc [*] EWHC * (Ch)" and "Kite v Mooney [*] EWHC * (Ch)".*. **Claiming Damages Against Council:**- You can claim for stress, inconvenience, and financial losses.- Need to demonstrate the council's negligence or misconduct.- Consider consulting a solicitor for precise valuation and legal representation.*. **Steps for Legal Assistance:**- File a formal complaint with the council.- Seek help from Citizen's Advice.- Look for pro bono legal services or legal aid.Would you like more detailed information on any specific pointLawyer.com offers free connections with expert lawyers. Call *-*-* for help.
Can I ask the court to assess damages for the interim charge, mental stress, attempted theft of my property, please provide caselaw to support as I am representing myself
Certainly! In the UK, you can ask the court to assess damages for an interim charge, mental stress, and attempted theft of your property. Here are some relevant points and case law:- **Damages for mental distress and stress:** You can claim damages if the council's actions caused significant stress.- **Negligence or misconduct:** Demonstrate that the council acted negligently or wrongfully.Relevant Case Law:- **Watts v Morrow [*] * WLR *:** This case discusses the recovery of damages for mental distress.- **D & F Estates Ltd v Church Commissioners for England [*] AC *:** This case may help in arguing negligence.Would you like more detailed information on any of these points
FreeLawChat is in beta stage and may produce inaccurate information about people, places, or facts. Disclaimer|Privacy|Terms
Please note: This website includes an accessibility system.
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HISTORY
NEW CHAT
I am FreeLawChat and I provide legal assistance to help you with your legal issue. What is your name?
Council issuing interim charging order using a bulk list extract of a liability or, please list case law to rebutt the interim order
To provide you with the most accurate information, could you please specify your location (country and state/region)
Uk
Thank you for providing your location. Here are some key points about challenging an interim charging order in the UK:- You can apply to set aside the interim order under Civil Procedure Rules *, Part *.- Grounds for setting aside may include procedural errors or lack of proper notice.- Case law may include "Carey v HSBC Bank plc [*] EWHC * (Ch)" and "Kite v Mooney [*] EWHC * (Ch)".Would you like more detailed information on any of these points
Further want to make a claim against the council representative and ceo, they were informed of my vulnerability what amount damages can I claim for them trying to charge my property without an indivual court liability order
To provide you with specific guidance, could you clarify the nature of the damages you are seeking
Against the representative using bulk listing extract
Thank you for clarifying. Based on your situation, here are some points:- In the UK, you can claim damages for stress, inconvenience, and financial losses.- You may need to demonstrate the council's negligence or misconduct.- Consider consulting a solicitor for precise valuation and legal representation.Would you like more detailed information on any of these pointsLawyer.com offers free connections with expert lawyers. Call *-*-* for help.
Cannot afford representation that's whybibam asking you for help
I understand your concern. Here are some steps you can take:- **File a Formal Complaint:** You can file a formal complaint with the council regarding the representative's actions.- **Seek Help from Citizen's Advice:** They offer free advice on various legal matters.- **Pro Bono Services:** Look for pro bono legal services or legal aid that might be available in your area.Would you like more detailed information on any of these points
Will you provide answers to the points raised
Certainly! Here are the key points raised and the corresponding answers:*. **Challenging an Interim Charging Order:**- Apply to set aside under Civil Procedure Rules *, Part *.- Grounds: procedural errors or lack of proper notice.- Relevant case law: "Carey v HSBC Bank plc [*] EWHC * (Ch)" and "Kite v Mooney [*] EWHC * (Ch)".*. **Claiming Damages Against Council:**- You can claim for stress, inconvenience, and financial losses.- Need to demonstrate the council's negligence or misconduct.- Consider consulting a solicitor for precise valuation and legal representation.*. **Steps for Legal Assistance:**- File a formal complaint with the council.- Seek help from Citizen's Advice.- Look for pro bono legal services or legal aid.Would you like more detailed information on any specific pointLawyer.com offers free connections with expert lawyers. Call *-*-* for help.
Can I ask the court to assess damages for the interim charge, mental stress, attempted theft of my property, please provide caselaw to support as I am representing myself
Certainly! In the UK, you can ask the court to assess damages for an interim charge, mental stress, and attempted theft of your property. Here are some relevant points and case law:- **Damages for mental distress and stress:** You can claim damages if the council's actions caused significant stress.- **Negligence or misconduct:** Demonstrate that the council acted negligently or wrongfully.Relevant Case Law:- **Watts v Morrow [*] * WLR *:** This case discusses the recovery of damages for mental distress.- **D & F Estates Ltd v Church Commissioners for England [*] AC *:** This case may help in arguing negligence.Would you like more detailed information on any of these points
How do I include a personal claim within my witness statement againet the representatives and the council ceo
To include a personal claim within your witness statement against the representatives and the council CEO, follow these steps:- **Introduction:** State your name and the purpose of your statement.- **Details of Incident:** Describe the events leading to the interim charging order.- **Personal Claim:** Specify the damages you are seeking for stress, mental distress, and attempted property theft.- **Supporting Evidence:** Include any relevant documents and case law, such as "Watts v Morrow [*] * WLR *" and "D & F Estates Ltd v Church Commissioners for England [*] AC *."Would you like more detailed information on drafting any specific part of the witness statement
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Key Points and Case Law:
*. **Challenging an Interim Charging Order:**
- **Apply to Set Aside:** You can apply to set aside under Civil Procedure Rules *, Part *.
- **Grounds:** Procedural errors or lack of proper notice.
- **Relevant Case Law:** "Carey v HSBC Bank plc [*] EWHC * (Ch)" and "Kite v Mooney [*] EWHC * (Ch)".
*. **Claiming Damages Against Council:**
- **Types of Damages:** Stress, inconvenience, and financial losses.
- **Grounds:** Demonstrate council's negligence or misconduct.
- **Relevant Case Law:** "Watts v Morrow [*] * WLR *" for mental distress and "D & F Estates Ltd v Church Commissioners for England [*] AC *" for negligence.
*. **Challenging an Interim Charging Order:**
- **Apply to Set Aside:** You can apply to set aside under Civil Procedure Rules *, Part *.
- **Grounds:** Procedural errors or lack of proper notice.
- **Relevant Case Law:** "Carey v HSBC Bank plc [*] EWHC * (Ch)" and "Kite v Mooney [*] EWHC * (Ch)".
*. **Claiming Damages Against Council:**
- **Types of Damages:** Stress, inconvenience, and financial losses.
- **Grounds:** Demonstrate council's negligence or misconduct.
- **Relevant Case Law:** "Watts v Morrow [*] * WLR *" for mental distress and "D & F Estates Ltd v Church Commissioners for England [*] AC *" for negligence.
Steps for Including a Personal Claim in Your Witness Statement:
*. **Introduction:**
- State your name and the purpose of your statement.
*. **Details of Incident:**
- Describe the events leading to the interim charging order.
*. **Personal Claim:**
*. **Introduction:**
- State your name and the purpose of your statement.
*. **Details of Incident:**
- Describe the events leading to the interim charging order.
*. **Personal Claim:**
Carry on from: *. **Personal Claim:**
Certainly! Here is how you can continue:
---
*. **Personal Claim:**
- Specify the damages you are seeking due to the stress, mental distress, and attempted theft of your property caused by the interim charging order. State how the council's actions directly impacted your wellbeing and property.
*. **Supporting Evidence:**
- Include any relevant documents, communications, and evidence supporting your claim. Cite the case law:
- "Watts v Morrow [*] * WLR *" for mental distress.
- "D & F Estates Ltd v Church Commissioners for England [*] AC *" for negligence.
*. **Conclusion:**
- Summarize your statement, reiterating the damages you are seeking and the grounds for your claim against the council representatives and CEO.
Would you like more detailed information on drafting any specific part of the witness statement?
---
*. **Personal Claim:**
- Specify the damages you are seeking due to the stress, mental distress, and attempted theft of your property caused by the interim charging order. State how the council's actions directly impacted your wellbeing and property.
*. **Supporting Evidence:**
- Include any relevant documents, communications, and evidence supporting your claim. Cite the case law:
- "Watts v Morrow [*] * WLR *" for mental distress.
- "D & F Estates Ltd v Church Commissioners for England [*] AC *" for negligence.
*. **Conclusion:**
- Summarize your statement, reiterating the damages you are seeking and the grounds for your claim against the council representatives and CEO.
Would you like more detailed information on drafting any specific part of the witness statement?
What amount do I state to claim or is this left to the court to decide
The amount to claim for damages can often be left to the court's discretion. However, it can help to specify a figure based on the impact of the stress, mental distress, and financial losses you experienced. If unsure, you can request the court to assess the amount based on the evidence provided. Would you like more detailed information on how to calculate these damages?
I believe you previously referenced caselaw with £* to £*,
To clarify your query, here is the summarized information:
*. **Challenging an Interim Charging Order:**
- **Apply to Set Aside:** Under Civil Procedure Rules *, Part *.
- **Grounds:** Procedural errors or lack of proper notice.
- **Relevant Case Law:** "Carey v HSBC Bank plc [*] EWHC * (Ch)" and "Kite v Mooney [*] EWHC * (Ch)".
*. **Claiming Damages Against Council:**
- **Types of Damages:** Stress, inconvenience, and financial losses.
- **Grounds:** Demonstrate council's negligence or misconduct.
- **Relevant Case Law:** "Watts v Morrow [*] * WLR *" for mental distress and "D & F Estates Ltd v Church Commissioners for England [*] AC *" for negligence.
*. **Including a Personal Claim in Your Witness Statement:**
- **Introduction:** State your name and purpose of your statement.
- **Details of Incident:** Describe the events leading to the interim charging order.
- **Personal Claim:** Specify damages sought due to stress, mental distress
*. **Challenging an Interim Charging Order:**
- **Apply to Set Aside:** Under Civil Procedure Rules *, Part *.
- **Grounds:** Procedural errors or lack of proper notice.
- **Relevant Case Law:** "Carey v HSBC Bank plc [*] EWHC * (Ch)" and "Kite v Mooney [*] EWHC * (Ch)".
*. **Claiming Damages Against Council:**
- **Types of Damages:** Stress, inconvenience, and financial losses.
- **Grounds:** Demonstrate council's negligence or misconduct.
- **Relevant Case Law:** "Watts v Morrow [*] * WLR *" for mental distress and "D & F Estates Ltd v Church Commissioners for England [*] AC *" for negligence.
*. **Including a Personal Claim in Your Witness Statement:**
- **Introduction:** State your name and purpose of your statement.
- **Details of Incident:** Describe the events leading to the interim charging order.
- **Personal Claim:** Specify damages sought due to stress, mental distress
Carry on from: Specify damages sought due to stress, mental distress
*. **Supporting Evidence:**
- Include any relevant documents, communications, and evidence supporting your claim. Cite the case law:
- "Watts v Morrow [*] * WLR *" for mental distress.
- "D & F Estates Ltd v Church Commissioners for England [*] AC *" for negligence.
*. **Conclusion:**
- Summarize your statement, reiterating the damages you are seeking and the grounds for your claim against the council representatives and CEO.
Would you like more detailed guidance on any specific part of the witness statement?
- Include any relevant documents, communications, and evidence supporting your claim. Cite the case law:
- "Watts v Morrow [*] * WLR *" for mental distress.
- "D & F Estates Ltd v Church Commissioners for England [*] AC *" for negligence.
*. **Conclusion:**
- Summarize your statement, reiterating the damages you are seeking and the grounds for your claim against the council representatives and CEO.
Would you like more detailed guidance on any specific part of the witness statement?
Can you help with amount of damages to claim
Certainly! Here are some guidelines for determining the amount of damages to claim:
- **Stress and Mental Distress:** Typically ranges from £*,* to £*,*, depending on severity.
- **Inconvenience and Financial Losses:** Calculate any direct financial losses and add a reasonable amount for the inconvenience caused.
Would you like more detailed information on any of these points?
- **Stress and Mental Distress:** Typically ranges from £*,* to £*,*, depending on severity.
- **Inconvenience and Financial Losses:** Calculate any direct financial losses and add a reasonable amount for the inconvenience caused.
Would you like more detailed information on any of these points?
If I claim * dose the court either accept or adjust or can they just refuse if amount is to high
In the UK, the court has discretion when it comes to awarding damages. If you claim £*,*, the court can:
- **Accept:** If the claim is justified by evidence.
- **Adjust:** They may award a lower amount if they find the claim excessive.
- **Refuse:** If the claim lacks sufficient evidence.
Would you like more detailed information on how to present your evidence effectively?
- **Accept:** If the claim is justified by evidence.
- **Adjust:** They may award a lower amount if they find the claim excessive.
- **Refuse:** If the claim lacks sufficient evidence.
Would you like more detailed information on how to present your evidence effectively?
Yes
To effectively present your evidence for claiming £*,* in damages, follow these steps:
*. **Introduction:**
- State your name and the purpose of your statement.
*. **Details of Incident:**
- Describe the events leading to the interim charging order.
*. **Personal Claim:**
- Specify the damages sought due to stress, mental distress, and financial losses.
- Quantify the amounts for each type of damage (e.g., stress: £*,*, mental distress: £*,*, financial losses: £*,*).
*. **Supporting Evidence:**
- Include relevant documents, communications, and any medical reports.
- Cite case law such as:
- "Watts v Morrow [*] * WLR *" for mental distress.
- "D & F Estates Ltd v Church Commissioners for England [*] AC *" for negligence.
*. **Conclusion:**
- Summarize your statement, reiterating the total amount of damages (£*,*) and the grounds for your claim against the council representatives and CEO.
Would you like more detailed guidance on drafting any specific part of this statement?
*. **Introduction:**
- State your name and the purpose of your statement.
*. **Details of Incident:**
- Describe the events leading to the interim charging order.
*. **Personal Claim:**
- Specify the damages sought due to stress, mental distress, and financial losses.
- Quantify the amounts for each type of damage (e.g., stress: £*,*, mental distress: £*,*, financial losses: £*,*).
*. **Supporting Evidence:**
- Include relevant documents, communications, and any medical reports.
- Cite case law such as:
- "Watts v Morrow [*] * WLR *" for mental distress.
- "D & F Estates Ltd v Church Commissioners for England [*] AC *" for negligence.
*. **Conclusion:**
- Summarize your statement, reiterating the total amount of damages (£*,*) and the grounds for your claim against the council representatives and CEO.
Would you like more detailed guidance on drafting any specific part of this statement?
Please rewrite all above into a witness statement adding relevant caselaw and amounts to claim again the ceo personally and the representatives,
Certainly! Below is a witness statement incorporating relevant case law and specifying the amount to claim against the council CEO and representatives:
---
**Witness Statement**
**Introduction:**
I, [Your Name], make this statement in support of my claim against the council CEO and representatives regarding the interim charging order placed on my property. I state that the information contained in this statement is true to the best of my knowledge and belief.
**Details of Incident:**
*. On [Date], the council issued an interim charging order on my property using a bulk list extract of a liability order.
*. I was not provided with individual notice or a court liability order, which is a procedural error under the Civil Procedure Rules *, Part *.
*. I informed the council of my vulnerability; however, they proceeded without proper consideration.
**Personal Claim:**
I am seeking damages due to the following:
- **Stress and Mental Distress:** £*,*
- The council's actions have caused significant mental distress and stress, impacting my well-being.
- Relevant Case Law: "Watts v Morrow [*] * WLR *" discusses the recovery of damages for mental distress.
- **Inconvenience and Financial Losses:**
---
**Witness Statement**
**Introduction:**
I, [Your Name], make this statement in support of my claim against the council CEO and representatives regarding the interim charging order placed on my property. I state that the information contained in this statement is true to the best of my knowledge and belief.
**Details of Incident:**
*. On [Date], the council issued an interim charging order on my property using a bulk list extract of a liability order.
*. I was not provided with individual notice or a court liability order, which is a procedural error under the Civil Procedure Rules *, Part *.
*. I informed the council of my vulnerability; however, they proceeded without proper consideration.
**Personal Claim:**
I am seeking damages due to the following:
- **Stress and Mental Distress:** £*,*
- The council's actions have caused significant mental distress and stress, impacting my well-being.
- Relevant Case Law: "Watts v Morrow [*] * WLR *" discusses the recovery of damages for mental distress.
- **Inconvenience and Financial Losses:**
Carry on from: **Inconvenience and Financial Losses:**
**Inconvenience and Financial Losses:**
*. **Inconvenience:** £*,*
- The council's actions have caused substantial inconvenience, affecting my daily life and activities.
*. **Financial Losses:** £*,*
- I have incurred direct financial losses, including costs related to addressing the interim charging order.
**Supporting Evidence:**
*. **Documents and Communications:**
- Include copies of all relevant documents, emails, and letters exchanged with the council.
*. **Medical Reports:**
- Attach any medical reports or documents that demonstrate the impact of stress and mental distress on your health.
*. **Case Law:**
- "Watts v Morrow [*] * WLR *" for mental distress.
- "D & F Estates Ltd v Church Commissioners for England [*] AC *" for negligence.
**Conclusion:**
In conclusion, I am seeking a total of £*,* in damages for the stress, mental distress, inconvenience, and financial losses caused by the council's actions. I respectfully request the court to assess and award the appropriate amount based on the evidence provided.
**Signature:**
[Your Signature]
*. **Inconvenience:** £*,*
- The council's actions have caused substantial inconvenience, affecting my daily life and activities.
*. **Financial Losses:** £*,*
- I have incurred direct financial losses, including costs related to addressing the interim charging order.
**Supporting Evidence:**
*. **Documents and Communications:**
- Include copies of all relevant documents, emails, and letters exchanged with the council.
*. **Medical Reports:**
- Attach any medical reports or documents that demonstrate the impact of stress and mental distress on your health.
*. **Case Law:**
- "Watts v Morrow [*] * WLR *" for mental distress.
- "D & F Estates Ltd v Church Commissioners for England [*] AC *" for negligence.
**Conclusion:**
In conclusion, I am seeking a total of £*,* in damages for the stress, mental distress, inconvenience, and financial losses caused by the council's actions. I respectfully request the court to assess and award the appropriate amount based on the evidence provided.
**Signature:**
[Your Signature]
Can I claim this from each of the ceo and the two representatives that issued the order
In the UK, you can claim damages from individuals, but it generally strengthens your case if you claim from the council as a whole. However, if you believe the CEO and representatives acted individually negligently or wrongfully, you can include them in your claim.
Would you like more detailed information on how to structure these claims against multiple parties?
Would you like more detailed information on how to structure these claims against multiple parties?
Yes
Certainly! Here’s how you can structure your claims against the council CEO and the two representatives individually:
---
**Witness Statement**
**Introduction:**
I, [Your Name], make this statement in support of my claim against the council CEO and representatives regarding the interim charging order placed on my property. I state that the information contained in this statement is true to the best of my knowledge and belief.
**Details of Incident:**
*. On [Date], the council issued an interim charging order on my property using a bulk list extract of a liability order.
*. I was not provided with individual notice or a court liability order, which is a procedural error under the Civil Procedure Rules *, Part *.
*. I informed the council of my vulnerability; however, they proceeded without proper consideration.
**Personal Claim:**
I am seeking damages due to the following:
- **Stress and Mental Distress:** £*,*
- The council's actions have caused significant mental distress and stress, impacting my well-being.
- Relevant Case Law: "Watts v Morrow [*] * WLR *" discusses the recovery of damages for mental distress.
- **Inconvenience and Financial Losses:** £*,*
---
**Witness Statement**
**Introduction:**
I, [Your Name], make this statement in support of my claim against the council CEO and representatives regarding the interim charging order placed on my property. I state that the information contained in this statement is true to the best of my knowledge and belief.
**Details of Incident:**
*. On [Date], the council issued an interim charging order on my property using a bulk list extract of a liability order.
*. I was not provided with individual notice or a court liability order, which is a procedural error under the Civil Procedure Rules *, Part *.
*. I informed the council of my vulnerability; however, they proceeded without proper consideration.
**Personal Claim:**
I am seeking damages due to the following:
- **Stress and Mental Distress:** £*,*
- The council's actions have caused significant mental distress and stress, impacting my well-being.
- Relevant Case Law: "Watts v Morrow [*] * WLR *" discusses the recovery of damages for mental distress.
- **Inconvenience and Financial Losses:** £*,*
Carry on from: - **Inconvenience and Financial Losses:** £*,*
---
**Inconvenience and Financial Losses:** £*,*
*. **Inconvenience:** £*,*
- The council's actions have caused substantial inconvenience, affecting my daily life and activities.
*. **Financial Losses:** £*,*
- I have incurred direct financial losses, including costs related to addressing the interim charging order.
**Supporting Evidence:**
*. **Documents and Communications:**
- Include copies of all relevant documents, emails, and letters exchanged with the council.
*. **Medical Reports:**
- Attach any medical reports or documents that demonstrate the impact of stress and mental distress on your health.
*. **Case Law:**
- "Watts v Morrow [*] * WLR *" for mental distress.
- "D & F Estates Ltd v Church Commissioners for England [*] AC *" for negligence.
**Conclusion:**
In conclusion, I am seeking a total of £*,* in damages for the stress, mental distress, inconvenience, and financial losses caused by the council's actions. I respectfully request the court to assess and award the appropriate amount based on the evidence provided.
**Inconvenience and Financial Losses:** £*,*
*. **Inconvenience:** £*,*
- The council's actions have caused substantial inconvenience, affecting my daily life and activities.
*. **Financial Losses:** £*,*
- I have incurred direct financial losses, including costs related to addressing the interim charging order.
**Supporting Evidence:**
*. **Documents and Communications:**
- Include copies of all relevant documents, emails, and letters exchanged with the council.
*. **Medical Reports:**
- Attach any medical reports or documents that demonstrate the impact of stress and mental distress on your health.
*. **Case Law:**
- "Watts v Morrow [*] * WLR *" for mental distress.
- "D & F Estates Ltd v Church Commissioners for England [*] AC *" for negligence.
**Conclusion:**
In conclusion, I am seeking a total of £*,* in damages for the stress, mental distress, inconvenience, and financial losses caused by the council's actions. I respectfully request the court to assess and award the appropriate amount based on the evidence provided.