Statement of Defence

Download as docx, pdf, or txt
Download as docx, pdf, or txt
You are on page 1of 3
At a glance
Powered by AI
The document outlines a civil suit between Naqiah Soh and Nurul Syazwani regarding a car accident. Nurul Syazwani, the defendant, is denying various claims and responsibilities while also admitting some facts in their statement of defence.

The defendant is denying that the accident was due to their recklessness and is denying all liabilities against the plaintiff.

The defendant is admitting to some of the facts given by the plaintiff in paragraphs 1, 3 and 4 of the statement of claim.

IN THE HIGH COURT OF MALAYA AT SHAH ALAM IN THE STATE OF SELANGOR DARUL EHSAN, MALAYSIA CIVIL SUIT NO:

/2013

BETWEEN

NAQIAH SOH (NRIC NO: 880625-10-5674) PLAINTIFF

AND

NURUL SYAZWANI BINTI MOHD YUSOFF (NRIC NO: 810905-03-5500) DEFENDANT

STATEMENT OF DEFENCE 1. Defendant referred to paragraph 1 statement of claim and admitted it is truth but denied the claim against defendant.

2. Defendant referred to paragraph 2 statement of claim and admitted it is truth but denied the claim against defendant.

3. Defendant referred to paragraph 3 statement of claim and admitted the facts given by the plaintiff.

4. Defendant referred to paragraph 4 statement of claim and admitted the facts given by the plaintiff.

5. Defendant referred to paragraph 5 and 6 statement of claim opined that defendant had no knowledge about the family background and the income of the family.

6. Defendant referred to paragraph 7 statement of claim denied that the accident happened on 23rd February 2013 due to defendants recklessness. Defendant mentioned that and defendant had no knowledge that the deceased suffered severe internal and external bleeding due to the accident which caused the death. The defendant stated that the deceased also drive carelessly on the road that day the accident happened. The defendant denied all the liabilities against the plaintiff.

7. Defendant referred to paragraph 8 stated that defendant did not know the deceased death will cause a lot of financial problems to the deceased family. 8. Defendant referred to paragraph 9 statement of claim that the defendant had no knowledge that the deceaseds wife was admitted with breast cancer. 9. Defendant referred to paragraph 10 statement of claim stated that although plaintiff as the only relative for both the deceased but defendant in the opinion stated that plaintiff cannot take action on behalf of her brother-in-law.

Dated this 30th

day of

OKTOBER

2013

MESSRS. FAREHA AZIZ & CO. Advocates & Solicitors for the Defendant

This Statement Of Claim is filed by Messrs. FAREHA AZIZ & CO. (Advocate&s Solicitors) for and on behalf of the Defendant whose address for service is at Tingkat 3 Kristal, Jalan Abdul Hamid, 43000 Bangi, Selangor Darul Ehsan.

( Ref : FA/L/NSMY/302/13 ) Tel: 03-60660771 Fax: 03- 60648771

You might also like