67_PBC to Begg Addendum_31-10-16 (24pp)
P. 1

MITRE HOUSE MANAGEMENT LIMITED (REPRESENTING THE NINE LEASEHOLD OWNERS OF MITRE HOUSE)
CORRESPONDENCE DELIVERIES & CONCIERGE ADDRESS
ON-SITE 24/7 BUREAU: SUITE 7 MITRE HOUSE • 124 KINGS ROAD • LONDON SW3 4TP EMERGENCY 24/7 TELEPHONE +44 20 7589 7502 • MBL: +44 (0)798 33 33 543
KNIGHTSBRIDGE BUREAU: 7 EGERTON GARDENS • LONDON SW3 2BP • MBL: +44 (0)798 33 33 543
COUNTRY BUREAU: BUCKLAND NEWTON PLACE • BUCKLAND NEWTON • DORSET DT2 7BX • MBL: +44 (0)798 33 33 543 OVERSEAS BUREAU: 290 HILL CREST GREEN 2 • BOWALAWATTA • KANDY • SRI LANKA • GPS: +94 (77) 9757355
EMAIL: MANAGEMENT@MITREHOUSE.COM • WWW.MITREHOUSE.COM
1st November 2016
Addendum
Preliminary Notice/Michele Hillgarth’s Witness Statement etc
This Addendum a final attempt to ascertain what facts we can agree on, namely what is accepted as true or not, as the actual veracity or not of some accusations has significant impact on, and relevance to, what your main focus steadfastly remains, namely the invoiced costs and expenses incurred for the 2014 Internal/External Works.
If my comments, explanations and denials to date from, and on, all your correspondence to date, including your Draft Crime Report dated 12 July 2016 and your Preliminary Notice to which this letter refers, have still not con- vinced you and Mrs Hillgarth of our innocence to all accusations levied to date, then we will rely on proving all again in court.
Whilst I fully appreciate your previous comments that you will not respond to any letters or comments other than those that supply, or agree to supply, the various documents you initially demanded, but firstly, we are not legally obligated to supply them as you well know, and secondly our offer to supply them remained unacknowledged.
But we are entitled to answer the unnecessary uncalled for slurs and innuendos levied against myself and MHML in all your correspondence and emails from Mrs Hillgarth to date. Consequently we would request, yes or no to the following queries raised in this addendum with as usual supporting documentary evidence, quotes, references etc: 
It is agreed that following your 23 March 2016 letter of request, we complied in our letter dated 1st April 2016 but as is also agreed, our offer to comply remained unacknowledged due to your pneumonia and Mrs Hillgarth in The Sahara (both situations somewhat bizarre seeing as deadlines to comply fell in the midst of these events).
It is agreed that Mrs Hillgarth’s 17 December 2015 request for documents from our 2014 Accounts was outside of the statutory 6 month period, as is further evidenced by her own admission in her Witness Statement dated 10 Aug.
It is agreed, one presumes, that your 23 March 2016 letter, and indeed all subsequent correspondence, Draft Crime Report, Preliminary Notice etc, contained extensive listings of malfeasance and accusations requiring, one presumes, comprehensive responses, explanations, denials if appropriate and apologies where appropriate.
It is agreed that you were in receipt of replies, usually by return, of all correspondence received, and in those replies one again presumes, you received comprehensive responses, explanations, denials if appropriate and apologies where appropriate along with substantial, comprehensive and proof-perfect supporting documentation on each and every malfeasance and accusation made in your correspondence.
MAINTAINING MITRE HOUSE
DIRECTORS • PAUL BROWN-CONSTABLE • SEGAR KARUPIAH • DIMA INTERNATIONAL LIMITED
REG. OFFICE • 9 ACTON HILL MEWS • UXBRIDGE ROAD • LONDON W3 9QN • REGISTERED NO. 7731341 • ENGLAND
a registered member of  since 1 October 2014


































































































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