Nip HC 2
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This Notice of Intended Prosecution is issued in accordance with the listed Statutory Duties
DCLG_054: requirement to ensure transparency - (Local Government Act 1972 (LGA 1972).
(Part VA) a statutory obligation of local government required to be adhered to by those in public
Introduction
During 2022 the executive management board of Herefordshire Council was challenged to verify
the legality and lawfulness of the issuance of Council Tax to inhabitants of Herefordshire County and
Herefordshire Council has a lawful obligation of transparency and a public duty of accountability to
the inhabitants of Herefordshire County over many issues including tax, but despite the legitimate
questions raised by the Herefordshire Common Law Group, with regard to providing proof of
obligation for County inhabitants to pay Council Tax, Herefordshire Council knowingly and
deliberately ignored its lawful obligation of accountability and, instead, set about a deliberate and
calculated process of harassment and abuse as the means to coerce inhabitants into paying the tax,
while refusing, in any substantive way, to respond to the legitimate and lawful requests to provide the
information, provision of that information being the lawful obligation of an accountable public
As a consequence the executive management board of Herefordshire Council has knowingly and
deliberately engaged in actions pursuant to demanding money with menaces and has strayed beyond
the boundaries of civilised behaviour into the criminal jurisdiction of Fraud, speci cally obtaining
money by deception, and Racketeering, given that a fraud committed serially by using the same
Knowingly indulging in criminal activities is an extremely serious matter, and one that Herefordshire
Council has, by default, admitted to have taken place as revealed under a process established through
Common Law Group who was being systematically harassed for payment of Council Tax with no
attempt by those accountable to provide the proof of obligation demanded under the legal Notices of
Discovery served on the CFO for Herefordshire Council; a executive board member bearing unique
responsibility, and personal liability, for each and every nancial misdemeanour discovered under his
tenure as described in the Local Government Act 1972, Section 151, as Herefordshire Council’s
Andrew Lovegrove, acting in his capacity of Section 151 Of cer for Herefordshire County, is hereby
given twenty eight (28) days in which to provide written responses to speci c questions, the
answering of which has so far been avoided; failure to do so resulting, with no further notice, in the
Court to provide under oath, under risk of perjury, answers to the serious legal issues raised by
This action is being taken on behalf of speci c members of Herefordshire Common Law as well as all
inhabitants of Herefordshire County who have been, or are, subject to Council Tax. In particular those
who have at any time since 1992, received summonses for non-payment of Council Tax or, since
October 1st 2003, received or had payment of Council tax enforced using a Liability Order, plus any
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inhabitants who have been threatened or received threatening letters or subsequent enforcement
actions after presentation of documents that have been agreed not to exist.
For the purposes of assisting expediency of your reply and to avoid wasting time we have already
legally established, through a series of Notices of Discovery served on Andrew Lovegrove, acting in
his capacity of Section 151 Of cer for Herefordshire County, the following facts in Law, and having
a) The Inhabitant and the entitled person are separate entities in law.
d) The entitled person may well be liable but the address the demand was sent to was
f ) Andrew Lovegrove is vicariously liable for all nancial irregularities under both the
Local Government Act 1972, section 151 and the Consumer Protection Act 1987.
Andrew Lovegrove agrees that there is NO liability order issued by Kidderminster Court on 16th
September 2022 as no copy of ANY liability order was received after the Notice of Discovery to him
Furthermore, no liability order or copy of a liability order has been received from Anne Shuker,
Hereford Justice Centre, or from District Judge Strongman, Kidderminster Magistrates Court or
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Richard James Sutor, Director of Bristow and Sutor, enforcement agents. All that was supplied was a
memorandum of entry in a signed letter from DJ Strongman, on October 18th, 2022, stating that a
In order to be as clear as possible regarding the issues that must be addressed, it is required that
Andrew Lovegrove, acting in the capacity as Section 151 Of cer for Herefordshire Council, provide
speci c written answers to all the following questions, within twenty-eight (28) days of the service of
this Notice of Intended Prosecution. Failure to do so will result, without further noti cation, in the
issuance of private criminal prosecution against him and the executive directors of Herefordshire
Council.
………………………………
QUESTION 1
What laws, statutes and Acts of Parliament are relied upon by Herefordshire Council to justify the
• Provide a list and detailed explanation of where it is stated that the payment of Council Tax is an
obligation within any statute, providing reference to the exact section and subsection that states such.
………………………………
QUESTION 2
If the entitled person is indeed liable for the payment of council tax, how does Herefordshire County
Council obfuscate its liability, under Section 79, subsection 2, of the 1888 Local Government Act, to
• Again, provide a detailed explanation of where it is stated in any subsequent statutory act that
postdates section 79 subsection 2 of the 1888 Local Government Act, that the payment of any liability
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of the entitled person does not have to be discharged by the Council of a County on behalf of the
inhabitants of that County with reference to the exact section and subsection of any subsequent act
………………………………
QUESTION 3
What are the laws, statutes, special exceptions or Acts of Parliament that sanction Court summonses
being issued by Herefordshire Council, as opposed to by the Court; summonses, addressed and
posted to entitled persons (companies), and not to inhabitants, being delivered unsigned and bearing
no name, mark, stamp or insignia or seal of the Court, or of the Council, or signed by any responsible
• Speci cally explain how this is considered to be legal and lawful practice with relation to Section 44
of the Companies Act 2006 and with Section 78 of the1888 Local Government Act where the
constitutional separation of powers under English Law is speci cally referenced in relation to the
………………………………
QUESTION 4
What laws, statutes or special privileges are claimed to have been granted to the service corporation
named Herefordshire Council that enables it to engage the services of 3rd-party enforcement agents
or corporations that exempts both parties under GDPR regulations in relation to sharing private data
without the creation of a Deed of Assignment or the issuance of a Notice of Assignment to the
alleged debtor.
• Speci cally frame your reply with reference to the 1925 Law of Property Act, Section 136, and
IN CONCLUSION
ALL questions posted. Failure to comply with the demand WILL result in the issuance, with no
Your detailed reply must be forwarded to the Advocate and elected Common Law Justice of the
Peace for Herefordshire Common Law, Herman-Austin, whose email contact details are known to
you, on or before the nal expiry date, the limit for that being twenty-eight (28) days following
service.
IMPORTANT
HEREFORDSHIRE NORTH.