IN THE CARDIFF COUNTY COURT                                    BS 614159-MC65 

                                                                                                                                          

                                                                                                                     CF101741                                                                                                        CF204141                                                                                                  

 

 BETWEEN:

 

MAURICE JOHN KIRK

Claimant

 

and

 

THE CHIEF CONSTABLE OF SOUTH WALES POLICE

Defendant

 

CLAIMANTS POSITION STATEMENT

 

                                Re Conduct of Dolmans, Solicitors, Cardiff

 

 

 

19th April 2013

 

Application

 

 

For the Court to Order the Defendant disclosure of:

 

 

1.      Full record of Claimant’s twenty odd motor vehicles relied on to have him, maliciously or not, prosecuted between 1992 and 2002 and to include  all Guernsey registered ones, subsequently arranged to be stolen and those UK registered ones, simply sampled, for starters, by Claimant’s letters:

 

i.                     6th June 2001 (RTA ELY INCIDENT) to CPS

ii.                    23rd May 2001 to Defendant’s PNC Bureau, Police HQ

iii.                   14th November 2001to Barry police station

 

2.       An (ex) Inspector  Steve Parry, late of Bridgend police station, address for service, currently identified as the author of the suggestion of the Claimant’s use of ‘high alcohol mouth wash’ in order to obtain his numerous incarcerations, driving bans  and name being permanently removed from the veterinary register.

 

3.      Written record of Inspector Anthony Rice’s 12th Oct 1997 incident that caused several police vehicles to be dispatched to Barry magistrates following the Crown Prosecutor, Mr Stan Stoffa’s arrest for perverting the course of justice.

 

4.      Full record of retired Inspector Robert Nelson Roe’s  documentation to Cardiff County Council, personal note books and section 9 statements etc, relating to 6th June 1995 purported eviction of retired Chief Inspector Jenner’s daughter from the Claimant’s flat and manner in which access was obtained.

 

5.      Full record of detectives involved, so far unidentified, re criminal damage of his then Ely veterinary surgery.

 

6.      Full record, including air to air video, to which retired Police Constable Phillip Bracegirdle has  stated he had not ‘view’, despite his ordering 4th July 1999 launch of police helicopter, from Cardiff heliport, in order to establish or not whether the Claimant was the ‘pilot in command’ of WW2 Piper Cub aircraft  registration G-KIRK.

 

7.      Full record and knowledge of which Claimant’s confidential court files, including those of this case, were sent from Cardiff Civil Justice Centre to HM Attorney General, not all returned, for proposed Claimant’s ‘Vexatious Litigant’ registration, it being the cause, no doubt, of Police Constable Mark Cocksey denying knowledge of it or his 24th July 2002 violent assault on the Claimant, before HM court staff, at this court’s public counter.

 

Without the Defendant’s compliance with most of the above applications and proper response to previous such applications for disclosure, the Claimant will remain in some difficulties in continuing his prosecution beyond today.    

 

Without the Defendant’s interim part payment of £100,000 to the Claimant, on account for outstanding punitive costs and costs, the Claimant will remain in difficulties in obtaining, other than his own, prosecution evidence from the witness box.

 

 

 

Maurice J Kirk BVsc

19th April 2013