Trevia Wus
map-marker Tankerton, England

STATEMENT BY NORTHOVER CARS

IT HAS BEEN MADE EVIDENT THAT THE MAJORITY, IF NOT ALL, OF THE REVIEWS ABOUT THIS COMPANY ON THIS WEBSITE ARE MALICIOUS AND FICTITIOUS, POSTED BY A COMPETITOR.

WE HAVE COMMENCED LEGAL ACTION TO PROVE THIS.

IN THE MEANTIME WE WISH TO ASSURE ALL OUR LOYAL CUSTOMERS OF OUR COMMITMENT TO PROVIDING THE HIGHEST QUALITY PRE OWNED VEHICLES TOGETHER WITH UNRIVALLED CUSTOMER SERVICE.

IF YOU WISH TO CONTACT ME DIRECTLY TO DISCUSS THIS MATTER OR THE CONTENTS OF THE POSTINGS PLEASE DO NOT HESITATE TO CALL ME, MATTHEW NORTHOVER, ON 07860 54**** AT ANY TIME.

MATTHEW NORTHOVER

Managing Director

Northover Cars

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Anonymous

Diesel filter

I purchase car quite recent from them. I think car is good condition and looks nice and has the things I was like satnavigations and heated seats.

The price was little expensives I thought but I like car so went ahead with the purchase. I not know too much about car so didn't understand why warning light came on. I get my friend to look at car after couple of days and he explained that the diesel filter blocked and needs replacing.

This cost me extra monies and I think this company should pay for me to have car repaired to working standard. It not fair that you treat customers like this especially when they give you money for the things they need.

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2 comments
Guest

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; Review #482273; Review #481875; Review #481481; Review #481060; Review #480811; Review #480455; Review #479825; Review #479552; Review #475299; and Review #474686 PLEASE TAKE NOTICE that, pursuant to Articles 23 and 31 of the Civil Practice Law and Rules of the State of New York (“CPLR”), Plaintiffs’ Northover Cars Limited and Beck Evans 2000 Limited, have issued a Subpoena requiring Opinion Corporation d/b/a PissedConsumer.com to produce for examination at the offices of the Law Office of Rachel Izower-Fadde, PLLC, 33 East 33rd Street, Suite 802, New York, New York 10016, counsel for Plaintiff, on or before November 17, 2012, at 10:00 o’clock in the forenoon, certain books, papers, and records identified on Exhibit A to the Subpoena.

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 9**-**4-7023 rizower@***.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

Guest

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; Review #482273; Review #481875; Review #481481; Review #481060; Review #480811; Review #480455; Review #479825; Review #479552; Review #475299; and Review #474686 PLEASE TAKE NOTICE that, pursuant to Articles 23 and 31 of the Civil Practice Law and Rules of the State of New York (“CPLR”), Plaintiffs’ Northover Cars Limited and Beck Evans 2000 Limited, have issued a Subpoena requiring Opinion Corporation d/b/a PissedConsumer.com to produce for examination at the offices of the Law Office of Rachel Izower-Fadde, PLLC, 33 East 33rd Street, Suite 802, New York, New York 10016, counsel for Plaintiff, on or before November 17, 2012, at 10:00 o’clock in the forenoon, certain books, papers, and records identified on Exhibit A to the Subpoena.

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 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 9**-**4-7023 rizower@***.com Attorney for Plaintiffs Northover Cars Limited and Beck Evans 2000 Limited

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Anonymous
map-marker Grantham, England

Where are all of the cars?

I went on their website and there were hardly any cars on there. There were quite a few Mercedes but not much of anything else?

Its all fine if you're looking for a Mercedes but what if you're not? For a firm that's claiming to be a Mercedes and BMW specialist, where are all the BMWs? Anyone know? Because I can't see any?!

They're just a sheer waste of time. I bought the cars they have are of good quality anyway. If they were they'd have more of them and not just a whole heap of Mercedes. I shall be taking my business elsewhere.

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2 comments
Guest

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; Review #482273; Review #481875; Review #481481; Review #481060; Review #480811; Review #480455; Review #479825; Review #479552; Review #475299; and Review #474686 PLEASE TAKE NOTICE that, pursuant to Articles 23 and 31 of the Civil Practice Law and Rules of the State of New York (“CPLR”), Plaintiffs’ Northover Cars Limited and Beck Evans 2000 Limited, have issued a Subpoena requiring Opinion Corporation d/b/a PissedConsumer.com to produce for examination at the offices of the Law Office of Rachel Izower-Fadde, PLLC, 33 East 33rd Street, Suite 802, New York, New York 10016, counsel for Plaintiff, on or before November 17, 2012, at 10:00 o’clock in the forenoon, certain books, papers, and records identified on Exhibit A to the Subpoena.

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 9**-**4-7023 rizower@***.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

Guest

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; Review #482273; Review #481875; Review #481481; Review #481060; Review #480811; Review #480455; Review #479825; Review #479552; Review #475299; and Review #474686 PLEASE TAKE NOTICE that, pursuant to Articles 23 and 31 of the Civil Practice Law and Rules of the State of New York (“CPLR”), Plaintiffs’ Northover Cars Limited and Beck Evans 2000 Limited, have issued a Subpoena requiring Opinion Corporation d/b/a PissedConsumer.com to produce for examination at the offices of the Law Office of Rachel Izower-Fadde, PLLC, 33 East 33rd Street, Suite 802, New York, New York 10016, counsel for Plaintiff, on or before November 17, 2012, at 10:00 o’clock in the forenoon, certain books, papers, and records identified on Exhibit A to the Subpoena.

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 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 9**-**4-7023 rizower@***.com Attorney for Plaintiffs Northover Cars Limited and Beck Evans 2000 Limited

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Anonymous

The fella didn't have a clue what he was hapring on about

I don't know if the fella was new of summin but he had no idea what he was jossing on about. He just waffled on and on about things I didn't give a *** about- didn't listen to or answer anyfin I asked him.

Every question I did ask he had to run back inside and "look it up" or ask someone for help. I get everyone needs to start somewhere but he was useless. Maybe you should spend more time training you staff before letting them deal with customers because you lost a sale there.

God knows how many more you might lose coz of it.

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2 comments
Guest

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; Review #482273; Review #481875; Review #481481; Review #481060; Review #480811; Review #480455; Review #479825; Review #479552; Review #475299; and Review #474686 PLEASE TAKE NOTICE that, pursuant to Articles 23 and 31 of the Civil Practice Law and Rules of the State of New York (“CPLR”), Plaintiffs’ Northover Cars Limited and Beck Evans 2000 Limited, have issued a Subpoena requiring Opinion Corporation d/b/a PissedConsumer.com to produce for examination at the offices of the Law Office of Rachel Izower-Fadde, PLLC, 33 East 33rd Street, Suite 802, New York, New York 10016, counsel for Plaintiff, on or before November 17, 2012, at 10:00 o’clock in the forenoon, certain books, papers, and records identified on Exhibit A to the Subpoena.

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 9**-**4-7023 rizower@***.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

Guest

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; Review #482273; Review #481875; Review #481481; Review #481060; Review #480811; Review #480455; Review #479825; Review #479552; Review #475299; and Review #474686 PLEASE TAKE NOTICE that, pursuant to Articles 23 and 31 of the Civil Practice Law and Rules of the State of New York (“CPLR”), Plaintiffs’ Northover Cars Limited and Beck Evans 2000 Limited, have issued a Subpoena requiring Opinion Corporation d/b/a PissedConsumer.com to produce for examination at the offices of the Law Office of Rachel Izower-Fadde, PLLC, 33 East 33rd Street, Suite 802, New York, New York 10016, counsel for Plaintiff, on or before November 17, 2012, at 10:00 o’clock in the forenoon, certain books, papers, and records identified on Exhibit A to the Subpoena.

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 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 9**-**4-7023 rizower@***.com Attorney for Plaintiffs Northover Cars Limited and Beck Evans 2000 Limited

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Anonymous
map-marker London, England

My paperwork has gone walkies.

I got a car from here some six weeks ago and was told that the paperwork for my car would be sent to me because they "couldn't find it" at the time of sale.

6 weeks down the line and my paperwork has appeared to have gone walkies.

I haven't received anything since purchasing the car so it is sitting on my drive doing not much at all.

I can't register it to my address, tax it, insure it, anything. Trying to get hold of Northover Cars is hopeless.

I might just take the car back and dump it there. FULL REFUND COMING MY WAY!

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4 comments
Guest

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; Review #482273; Review #481875; Review #481481; Review #481060; Review #480811; Review #480455; Review #479825; Review #479552; Review #475299; and Review #474686 PLEASE TAKE NOTICE that, pursuant to Articles 23 and 31 of the Civil Practice Law and Rules of the State of New York (“CPLR”), Plaintiffs’ Northover Cars Limited and Beck Evans 2000 Limited, have issued a Subpoena requiring Opinion Corporation d/b/a PissedConsumer.com to produce for examination at the offices of the Law Office of Rachel Izower-Fadde, PLLC, 33 East 33rd Street, Suite 802, New York, New York 10016, counsel for Plaintiff, on or before November 17, 2012, at 10:00 o’clock in the forenoon, certain books, papers, and records identified on Exhibit A to the Subpoena.

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 9**-**4-7023 rizower@***.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

Guest

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; Review #482273; Review #481875; Review #481481; Review #481060; Review #480811; Review #480455; Review #479825; Review #479552; Review #475299; and Review #474686 PLEASE TAKE NOTICE that, pursuant to Articles 23 and 31 of the Civil Practice Law and Rules of the State of New York (“CPLR”), Plaintiffs’ Northover Cars Limited and Beck Evans 2000 Limited, have issued a Subpoena requiring Opinion Corporation d/b/a PissedConsumer.com to produce for examination at the offices of the Law Office of Rachel Izower-Fadde, PLLC, 33 East 33rd Street, Suite 802, New York, New York 10016, counsel for Plaintiff, on or before November 17, 2012, at 10:00 o’clock in the forenoon, certain books, papers, and records identified on Exhibit A to the Subpoena.

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 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 9**-**4-7023 rizower@***.com Attorney for Plaintiffs Northover Cars Limited and Beck Evans 2000 Limited

Trevia Wus

This is Matthew Northover of Northover Cars. Regrettably, I believe this is a malicious posting as we have no recollection of the events described above. If you have any concerns about this matter or our Company please do not hesitate to call me on 07860 541639.

Trevia Wus

This is Matthew Northover of Northover Cars. Regrettably, I believe this is a malicious posting as we have no recollection of the events described above. If you have any concerns about this matter or our Company please do not hesitate to call me on 07860 541639.

View more comments (3)
Anonymous
map-marker London, England

OWNER HAS DISGUSTING WAY OF TREATING CUSTOMERS

Wanting to buy a new car from you I visited your dealership. I was shocked at how little you had to offer on your forecourt.

When waiting for a salesman to help me, a customer was shouting and swearing at the owner of the company saying, how she had bought a car from them and in just a week everything started to go wrong, she needed a new gear box her turbo had gone. The owner dismissed her and said if she carried on she would be removed. After a while the women was still there, the owners behaviour was disgusting he was saying he would ‘’smash her car’’ if she carried on making them loose customers. I was absolutely disgusted there was children around and the owner was acting like that!!!!

Instantly I took my family and went and two more families followed. I’m surprised there not out of business by now!!!!!!

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3 comments
Guest

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; Review #482273; Review #481875; Review #481481; Review #481060; Review #480811; Review #480455; Review #479825; Review #479552; Review #475299; and Review #474686 PLEASE TAKE NOTICE that, pursuant to Articles 23 and 31 of the Civil Practice Law and Rules of the State of New York (“CPLR”), Plaintiffs’ Northover Cars Limited and Beck Evans 2000 Limited, have issued a Subpoena requiring Opinion Corporation d/b/a PissedConsumer.com to produce for examination at the offices of the Law Office of Rachel Izower-Fadde, PLLC, 33 East 33rd Street, Suite 802, New York, New York 10016, counsel for Plaintiff, on or before November 17, 2012, at 10:00 o’clock in the forenoon, certain books, papers, and records identified on Exhibit A to the Subpoena.

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 9**-**4-7023 rizower@***.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

Guest

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; Review #482273; Review #481875; Review #481481; Review #481060; Review #480811; Review #480455; Review #479825; Review #479552; Review #475299; and Review #474686 PLEASE TAKE NOTICE that, pursuant to Articles 23 and 31 of the Civil Practice Law and Rules of the State of New York (“CPLR”), Plaintiffs’ Northover Cars Limited and Beck Evans 2000 Limited, have issued a Subpoena requiring Opinion Corporation d/b/a PissedConsumer.com to produce for examination at the offices of the Law Office of Rachel Izower-Fadde, PLLC, 33 East 33rd Street, Suite 802, New York, New York 10016, counsel for Plaintiff, on or before November 17, 2012, at 10:00 o’clock in the forenoon, certain books, papers, and records identified on Exhibit A to the Subpoena.

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 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 9**-**4-7023 rizower@***.com Attorney for Plaintiffs Northover Cars Limited and Beck Evans 2000 Limited

Trevia Wus

This is Matthew Northover of Northover Cars. Regrettably, I believe this is a malicious posting as we have no recollection of the events described above. If you have any concerns about this matter or our Company please do not hesitate to call me on 07860 541639.

View more comments (2)
Anonymous

I'm a little shocked...

It's no lie that used car dealers have a jaded reputation for not caring for their customers after the point of sale and so on and so forth. I have seen a car that I am quite keen on from this company (online) but decided to do a little research before I visited the site. I am now slightly concerned after reading some of these reviews. The so called "owner" of the company has replied to some of them with then same generic reply - does this really proves he cares at all?

Anyway has anyone had any experience of them? Can anyone please advise? Thanks, Jon.

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4 comments
Jonetta Bvr

Hi yes I bought a car Mercedes ml350 from them the morning I traveled from the midlands to collect I was told " there is a problem "it's being sorted now by Mercedes Benz Canterbury it wasn't as it reappeared two weeks later and now yet another issue and guess what there wonderful comprehensive cover doesn't cover it a thousand pounds wasted on that and smarmy Stuart and Mathew don't give a *** steer well clear would be my advice !! And I'm not a disgruntled competitor ( I got that sob story too ) I am a genuine customer that was conned by these conmen !

Guest

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; Review #482273; Review #481875; Review #481481; Review #481060; Review #480811; Review #480455; Review #479825; Review #479552; Review #475299; and Review #474686 PLEASE TAKE NOTICE that, pursuant to Articles 23 and 31 of the Civil Practice Law and Rules of the State of New York (“CPLR”), Plaintiffs’ Northover Cars Limited and Beck Evans 2000 Limited, have issued a Subpoena requiring Opinion Corporation d/b/a PissedConsumer.com to produce for examination at the offices of the Law Office of Rachel Izower-Fadde, PLLC, 33 East 33rd Street, Suite 802, New York, New York 10016, counsel for Plaintiff, on or before November 17, 2012, at 10:00 o’clock in the forenoon, certain books, papers, and records identified on Exhibit A to the Subpoena.

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 9**-**4-7023 rizower@***.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

Guest

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; Review #482273; Review #481875; Review #481481; Review #481060; Review #480811; Review #480455; Review #479825; Review #479552; Review #475299; and Review #474686 PLEASE TAKE NOTICE that, pursuant to Articles 23 and 31 of the Civil Practice Law and Rules of the State of New York (“CPLR”), Plaintiffs’ Northover Cars Limited and Beck Evans 2000 Limited, have issued a Subpoena requiring Opinion Corporation d/b/a PissedConsumer.com to produce for examination at the offices of the Law Office of Rachel Izower-Fadde, PLLC, 33 East 33rd Street, Suite 802, New York, New York 10016, counsel for Plaintiff, on or before November 17, 2012, at 10:00 o’clock in the forenoon, certain books, papers, and records identified on Exhibit A to the Subpoena.

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 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 9**-**4-7023 rizower@***.com Attorney for Plaintiffs Northover Cars Limited and Beck Evans 2000 Limited

Trevia Wus

This is Matthew Northover of Northover Cars. Regrettably, I believe this is a malicious posting as we have no recollection of the events described above. If you have any concerns about this matter or our Company please do not hesitate to call me on 07860 541639.

View more comments (3)
Anonymous
map-marker Worthing, England

Payment loss

I left a deposit for the vehicle I wanted. I later on found some more reviews online and thought that I would be better off going to main dealer.

I called the company within half an hour of leaving the site and I was told by the (rude) sales man that I was unable to get my money back. He refused to explain why I could not have my money back saying that "that was the end of that".

I was astounded and couldn't believe that I was being treated this way as it was my money! I'm going to try and get it back!

View full review
3 comments
Guest

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; Review #482273; Review #481875; Review #481481; Review #481060; Review #480811; Review #480455; Review #479825; Review #479552; Review #475299; and Review #474686 PLEASE TAKE NOTICE that, pursuant to Articles 23 and 31 of the Civil Practice Law and Rules of the State of New York (“CPLR”), Plaintiffs’ Northover Cars Limited and Beck Evans 2000 Limited, have issued a Subpoena requiring Opinion Corporation d/b/a PissedConsumer.com to produce for examination at the offices of the Law Office of Rachel Izower-Fadde, PLLC, 33 East 33rd Street, Suite 802, New York, New York 10016, counsel for Plaintiff, on or before November 17, 2012, at 10:00 o’clock in the forenoon, certain books, papers, and records identified on Exhibit A to the Subpoena.

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 9**-**4-7023 rizower@***.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

Guest

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; Review #482273; Review #481875; Review #481481; Review #481060; Review #480811; Review #480455; Review #479825; Review #479552; Review #475299; and Review #474686 PLEASE TAKE NOTICE that, pursuant to Articles 23 and 31 of the Civil Practice Law and Rules of the State of New York (“CPLR”), Plaintiffs’ Northover Cars Limited and Beck Evans 2000 Limited, have issued a Subpoena requiring Opinion Corporation d/b/a PissedConsumer.com to produce for examination at the offices of the Law Office of Rachel Izower-Fadde, PLLC, 33 East 33rd Street, Suite 802, New York, New York 10016, counsel for Plaintiff, on or before November 17, 2012, at 10:00 o’clock in the forenoon, certain books, papers, and records identified on Exhibit A to the Subpoena.

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 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 9**-**4-7023 rizower@***.com Attorney for Plaintiffs Northover Cars Limited and Beck Evans 2000 Limited

Trevia Wus

This is Matthew Northover of Northover Cars. Regrettably, I believe this is a malicious posting as we have no recollection of the events described above. If you have any concerns about this matter or our Company please do not hesitate to call me on 07860 541639.

View more comments (2)
Anonymous
map-marker London, England

Not sure what to think?

I need a new car and am doing my research which has obviously bought me here. I know there are always going to be good and bad reviews for every company and people are more likely to voice their opinion when they are angry but I'm not sure what to think.

North Over have an Mercedes on their website that I like the look of but don't really trust them based on their reviews I have now read. Does anyone have any experience with this business and if so what is their opinions/advise?

Any help would be appreciated as I really don't think buying here is a good idea anymore.

View full review
4 comments
Jonetta Bvr

Steer clear or get stung !!

Guest

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; Review #482273; Review #481875; Review #481481; Review #481060; Review #480811; Review #480455; Review #479825; Review #479552; Review #475299; and Review #474686 PLEASE TAKE NOTICE that, pursuant to Articles 23 and 31 of the Civil Practice Law and Rules of the State of New York (“CPLR”), Plaintiffs’ Northover Cars Limited and Beck Evans 2000 Limited, have issued a Subpoena requiring Opinion Corporation d/b/a PissedConsumer.com to produce for examination at the offices of the Law Office of Rachel Izower-Fadde, PLLC, 33 East 33rd Street, Suite 802, New York, New York 10016, counsel for Plaintiff, on or before November 17, 2012, at 10:00 o’clock in the forenoon, certain books, papers, and records identified on Exhibit A to the Subpoena.

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 9**-**4-7023 rizower@***.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

Guest

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; Review #482273; Review #481875; Review #481481; Review #481060; Review #480811; Review #480455; Review #479825; Review #479552; Review #475299; and Review #474686 PLEASE TAKE NOTICE that, pursuant to Articles 23 and 31 of the Civil Practice Law and Rules of the State of New York (“CPLR”), Plaintiffs’ Northover Cars Limited and Beck Evans 2000 Limited, have issued a Subpoena requiring Opinion Corporation d/b/a PissedConsumer.com to produce for examination at the offices of the Law Office of Rachel Izower-Fadde, PLLC, 33 East 33rd Street, Suite 802, New York, New York 10016, counsel for Plaintiff, on or before November 17, 2012, at 10:00 o’clock in the forenoon, certain books, papers, and records identified on Exhibit A to the Subpoena.

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 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 9**-**4-7023 rizower@***.com Attorney for Plaintiffs Northover Cars Limited and Beck Evans 2000 Limited

Trevia Wus

This is Matthew Northover of Northover Cars. Regrettably, I believe this is a malicious posting as we have no recollection of the events described above. If you have any concerns about this matter or our Company please do not hesitate to call me on 07860 541639.

View more comments (3)
Anonymous
map-marker Manchester, England

NO help aftersales! Problem after problem after taking my money

I recently purchased a 1 series coupe from your dealership, I loved it as soon as I saw it the salesman was telling me about all the extras that come with the car. Although when I picked up the car the standard was basic when informing someone I was told that was the standard make!!

Not impressed lying salesman! Then I was told to bring my car back and they would have some of the extras fitted all they did was provide me with a aux cable?

it really is laughable! I will not be returning to this place again!

View full review
2 comments
Guest

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; Review #482273; Review #481875; Review #481481; Review #481060; Review #480811; Review #480455; Review #479825; Review #479552; Review #475299; and Review #474686 PLEASE TAKE NOTICE that, pursuant to Articles 23 and 31 of the Civil Practice Law and Rules of the State of New York (“CPLR”), Plaintiffs’ Northover Cars Limited and Beck Evans 2000 Limited, have issued a Subpoena requiring Opinion Corporation d/b/a PissedConsumer.com to produce for examination at the offices of the Law Office of Rachel Izower-Fadde, PLLC, 33 East 33rd Street, Suite 802, New York, New York 10016, counsel for Plaintiff, on or before November 17, 2012, at 10:00 o’clock in the forenoon, certain books, papers, and records identified on Exhibit A to the Subpoena.

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 9**-**4-7023 rizower@***.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

Trevia Wus

This is Matthew Northover of Northover Cars. Regrettably, I believe this is a malicious posting as we have no recollection of the events described above. If you have any concerns about this matter or our Company please do not hesitate to call me on 07860 541639.

View more comments (1)
Anonymous

Mercedes EClass

I have driven Mercs for as long as I can remember. They are lovely cars, built to last and are just brilliant.

I have purchased both new and used Mercedes before and still own some that have been bought pre-owned. I wanted to get my daughter a nice Eclass as she is due to have her first child and I wanted her to have a half decent car.

She found the car online, passed the details to me and I went to check the car out with the intentions of purchasing it for her. The car was nowhere to been seen and the only other Mercedes they had there had a higher mileage and higher price (how that makes sense I do not know)

A good waste of my time I believe.

View full review
Loss:
$21000
3 comments
Guest

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; Review #482273; Review #481875; Review #481481; Review #481060; Review #480811; Review #480455; Review #479825; Review #479552; Review #475299; and Review #474686 PLEASE TAKE NOTICE that, pursuant to Articles 23 and 31 of the Civil Practice Law and Rules of the State of New York (“CPLR”), Plaintiffs’ Northover Cars Limited and Beck Evans 2000 Limited, have issued a Subpoena requiring Opinion Corporation d/b/a PissedConsumer.com to produce for examination at the offices of the Law Office of Rachel Izower-Fadde, PLLC, 33 East 33rd Street, Suite 802, New York, New York 10016, counsel for Plaintiff, on or before November 17, 2012, at 10:00 o’clock in the forenoon, certain books, papers, and records identified on Exhibit A to the Subpoena.

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 9**-**4-7023 rizower@***.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

Guest

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; Review #482273; Review #481875; Review #481481; Review #481060; Review #480811; Review #480455; Review #479825; Review #479552; Review #475299; and Review #474686 PLEASE TAKE NOTICE that, pursuant to Articles 23 and 31 of the Civil Practice Law and Rules of the State of New York (“CPLR”), Plaintiffs’ Northover Cars Limited and Beck Evans 2000 Limited, have issued a Subpoena requiring Opinion Corporation d/b/a PissedConsumer.com to produce for examination at the offices of the Law Office of Rachel Izower-Fadde, PLLC, 33 East 33rd Street, Suite 802, New York, New York 10016, counsel for Plaintiff, on or before November 17, 2012, at 10:00 o’clock in the forenoon, certain books, papers, and records identified on Exhibit A to the Subpoena.

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 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 9**-**4-7023 rizower@***.com Attorney for Plaintiffs Northover Cars Limited and Beck Evans 2000 Limited

Trevia Wus

This is Matthew Northover of Northover Cars. Regrettably, I believe this is a malicious posting as we have no recollection of the events described above. If you have any concerns about this matter or our Company please do not hesitate to call me on 07860 541639.

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Anonymous
map-marker London, England

What'a shocker!

The service was horrid for the word GO! They don't care after they have your hard-earned money.

They never call back, they never show any empathy. I haven't even heard the word sorry as yet.

I have spent money on a vehicle that is now sitting on my drive 100% unusable. The thing doesn't even start.

I guess, after the response (or lack of it from this company) I'm just going to have to pay for the repairs myself but I'm not best pleased.

In fact, stay away from them and go elsewhere. Hardly worth the hassle if you ask me.

View full review
2 comments
Guest

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; Review #482273; Review #481875; Review #481481; Review #481060; Review #480811; Review #480455; Review #479825; Review #479552; Review #475299; and Review #474686 PLEASE TAKE NOTICE that, pursuant to Articles 23 and 31 of the Civil Practice Law and Rules of the State of New York (“CPLR”), Plaintiffs’ Northover Cars Limited and Beck Evans 2000 Limited, have issued a Subpoena requiring Opinion Corporation d/b/a PissedConsumer.com to produce for examination at the offices of the Law Office of Rachel Izower-Fadde, PLLC, 33 East 33rd Street, Suite 802, New York, New York 10016, counsel for Plaintiff, on or before November 17, 2012, at 10:00 o’clock in the forenoon, certain books, papers, and records identified on Exhibit A to the Subpoena.

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 9**-**4-7023 rizower@***.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

Trevia Wus

This is Matthew Northover of Northover Cars. Regrettably, I believe this is a malicious posting as we have no recollection of the events described above. If you have any concerns about this matter or our Company please do not hesitate to call me on 07860 541639.

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Anonymous
map-marker Maidenhead, England

Liars! Liars! Liars! That's all I can say about them.

Don’t bother to waste your time with this dealer. They are a great example of company misleading customers online.

On their website, they claim to have over 45 cars in stock. With this in mind, I decided to take drive down to see what I can bag myself. Upon arrival at this dealership, I was stunned to discover they only have 23 car in stock- I counted the cars. Where are the other 22 cars?

Surprisingly, the cars that were not there were cheaper than the actual cars in stock.

I showed the salesman the pages I bookmarked on my ipad, and he couldn’t say a word. I’m upset as their misleading tactics has wasted my time and fuel.

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2 comments
Guest

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; Review #482273; Review #481875; Review #481481; Review #481060; Review #480811; Review #480455; Review #479825; Review #479552; Review #475299; and Review #474686 PLEASE TAKE NOTICE that, pursuant to Articles 23 and 31 of the Civil Practice Law and Rules of the State of New York (“CPLR”), Plaintiffs’ Northover Cars Limited and Beck Evans 2000 Limited, have issued a Subpoena requiring Opinion Corporation d/b/a PissedConsumer.com to produce for examination at the offices of the Law Office of Rachel Izower-Fadde, PLLC, 33 East 33rd Street, Suite 802, New York, New York 10016, counsel for Plaintiff, on or before November 17, 2012, at 10:00 o’clock in the forenoon, certain books, papers, and records identified on Exhibit A to the Subpoena.

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 9**-**4-7023 rizower@***.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

Trevia Wus

This is Matthew Northover of Northover Cars. Regrettably, I believe this is a malicious posting as we have no recollection of the events described above. If you have any concerns about this matter or our Company please do not hesitate to call me on 07860 541639.

View more comments (1)
Anonymous
map-marker Rugby, England

I want a car not a skip!

These people are HILARIOUS. I went there to buy a car, not a skip on wheels.

The car the conman was showing me looked alright at first. The I spotted the scratches, chips and dents and thought again.

I asked to see the cars full history the *** artists sales man went quiet and said he couldn't find it or something along those lines.

Don't try and pull the wool over my eyes buddy.

They might have a few decent cars in stock but I didn't hang around long enough to get mugged off by them. *** that, I'd rather walk.

View full review
Loss:
$2000
3 comments
Guest

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; Review #482273; Review #481875; Review #481481; Review #481060; Review #480811; Review #480455; Review #479825; Review #479552; Review #475299; and Review #474686 PLEASE TAKE NOTICE that, pursuant to Articles 23 and 31 of the Civil Practice Law and Rules of the State of New York (“CPLR”), Plaintiffs’ Northover Cars Limited and Beck Evans 2000 Limited, have issued a Subpoena requiring Opinion Corporation d/b/a PissedConsumer.com to produce for examination at the offices of the Law Office of Rachel Izower-Fadde, PLLC, 33 East 33rd Street, Suite 802, New York, New York 10016, counsel for Plaintiff, on or before November 17, 2012, at 10:00 o’clock in the forenoon, certain books, papers, and records identified on Exhibit A to the Subpoena.

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 9**-**4-7023 rizower@***.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

Trevia Wus

This is Matthew Northover of Northover Cars. Regrettably, I believe this is a malicious posting as we have no recollection of the events described above. If you have any concerns about this matter or our Company please do not hesitate to call me on 07860 541639.

Guest

Any one that knows northover cars also knows that you talking absolute nonsense

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