2 comments

I collected my car, drove it home and it was fine. A bit of rough running when idle but I assumed it just needed to be run for a while (sitting on a forecourt can't do them much good)

I bought the car on the provisory that the tyres would be changed as they were bald when I viewed it. After driving it about for 3 weeks my tyre had a blow out which lead me to discover my tyres were not run flats. They had replaced the tyres with a standard, run-of-the-mill tyre! I was furious. I have written two letters and sent an email and nothing back- NO BUSINESS EITHICS WHAT-SO-EVER!

No Regards,

Very Furious Customer

Had an Experience with Northover Cars?

Write a review

Comments

Terms of Service
Post Comment
Cancel
Anonymous
#890342

SUPREME COURT OF THE STATE OF NEW YORK

COUNTY OF NEW YORK

X

NORTHOVER CARS LIMITED AND BECK EVANS 2000 LIMITED,

Plaintiffs,

- against - JOHN DOES 1 THROUGH 59, Defendants.: : : : : : : : : : : : : NOTICE OF SUBPOENA (issued pursuant to the Uniform Interstate Deposition and Discovery Act and CPLR §3119) Originating State: North Carolina Originating County: Lee Originating Court: General Court of Justice, Superior Court Division Originating Case number: 14-CVS-870 X TO: DEFENDANTS JOHN DOES 1 THROUGH 59, publishers of some or all of the following reviews on the website northover-cars.pissedconsumer.com: Review #511814; Review #505623; Review #501397; Review #500127; Review #495199; Review #493875; Review #492712; Review #491864; Review #491434; Review #490990; Review #490602; Review #489196; Review #488889; Review #487895; Review #486089; Review #485502; Review #485423; Review #483963; Review #483773; Review #482918; Review #482129; Review #481087; Review #480802; Review #477159; Review #475149; Review #474685; Review #474137; Review #460588; and Review #460584 on the website beck-evans.pissedconsumer.com: Review #520285; Review #505644; Review #505081; Review #501411; Review #495722; Review #495201; Review #493878; Review #493569; Review #492709; Review #491848; Review #491428; Review #490994; Review #490600; Review #489498; Review #489191; Review #488620; Review #486655; Review #486088; Review #482741; Review #482418;...

The documents described in Exhibit A to the Subpoena are sought or required as they may contain evidence relevant to the allegations in Plaintiffs’ complaint in the North Carolina Action, including without limitation, information related to each of your identities and contact information, the identities and contact information of witnesses possessing relevant information and for assessing or establishing the motivation for, and defamatory nature of, the reviews at issue. The Subpoena itself could not be attached to this notice, but will be provided in response to a request sent to the undersigned attorney. Dated: October 24, 2014 New York, New York LAW OFFICE OF RACHEL IZOWER-FADDÉ, PLLC By: Rachel Izower-Faddé, Esq. 33 East 33rd Street, Suite 802 New York, New York 10016 917-494-7023 rizower@izowerlaw.com Attorney for Plaintiffs Northover Cars Limited and Beck Evans 2000 Limited EXHIBIT A 1.

Produce all records referencing or relating to the full identity (including, but not limited to, the name, physical address, IP address, and any other identifying information) of the person or persons who published the following reviews on the website northover-cars.pissedconsumer.com: a. Review #511814; Review #505623; Review #501397; Review #500127; Review #495199; Review #493875; Review #492712; Review #491864; Review #491434; Review #490990; Review #490602; Review #489196; Review #488889; Review #487895; Review #486089; Review #485502; Review #485423; Review #483963; Review #483773; Review #482918; Review #482129; Review #481087; Review #480802; Review #477159; Review #475149; Review #474685; Review #474137; Review #460588; and Review #460584.

2.Produce all records referencing or relating to the full identity (including, but not limited to, the name, physical address, IP address, and any other identifying information) of the person or persons who published the following reviews on the website beck-evans.pissedconsumer.com: Review #520285; Review #505644; Review #505081; Review #501411; Review #495722; Review #495201; Review #493878; Review #493569; Review #492709; Review #491848; Review #491428; Review #490994; Review #490600; Review #489498; Review #489191; Review #488620; Review #486655; Review #486088; Review #482741; Review #482418; Review #482273; Review #481875; Review #481481; Review #481060; Review #480811; Review #480455; Review #479825; Review #479552; Review #475299; and Review #474686

Show more
Anonymous
#890157

STATE OF NEW YORK

COUNTY OF NEW YORK

X

NORTHOVER CARS LIMITED AND BECK EVANS 2000 LIMITED,

Plaintiffs,

- against - JOHN DOES 1 THROUGH 59, Defendants.: : : : : : : : : : : : : NOTICE OF SUBPOENA (issued pursuant to the Uniform Interstate Deposition and Discovery Act and CPLR §3119) Originating State: North Carolina Originating County: Lee Originating Court: General Court of Justice, Superior Court Division Originating Case number: 14-CVS-870 X TO: DEFENDANTS JOHN DOES 1 THROUGH 59, publishers of some or all of the following reviews on the website northover-cars.pissedconsumer.com: Review #511814; Review #505623; Review #501397; Review #500127; Review #495199; Review #493875; Review #492712; Review #491864; Review #491434; Review #490990; Review #490602; Review #489196; Review #488889; Review #487895; Review #486089; Review #485502; Review #485423; Review #483963; Review #483773; Review #482918; Review #482129; Review #481087; Review #480802; Review #477159; Review #475149; Review #474685; Review #474137; Review #460588; and Review #460584 on the website beck-evans.pissedconsumer.com: Review #520285; Review #505644; Review #505081; Review #501411; Review #495722; Review #495201; Review #493878; Review #493569; Review #492709; Review #491848; Review #491428; Review #490994; Review #490600; Review #489498; Review #489191; Review #488620; Review #486655; Review #486088; Review #482741; Review #482418; Review #482273; Review...

The Subpoena and Exhibits thereto are attached to this Notice. The documents described in Exhibit A to the Subpoena are sought or required as they may contain evidence relevant to the allegations in Plaintiffs’ complaint in the North Carolina Action, including without limitation, information related to each of your identities and contact information, the identities and contact information of witnesses possessing relevant information and for assessing or establishing the motivation for, and defamatory nature of, the reviews at issue. The Complaint in the North Carolina Action is Exhibit C to the Subpoena.

Dated: October 23, 2014 New York, New York LAW OFFICE OF RACHEL IZOWER-FADDÉ, PLLC By: Rachel Izower-Faddé, Esq.33 East 33rd Street, Suite 802 New York, New York 10016 917-494-7023 rizower@izowerlaw.com Attorney for Plaintiffs Northover Cars Limited and Beck Evans 2000 Limited

Show more

You May Also Like