When making a claim for past damages, it's important
to provide realistic and justifiable calculations. Calculating potential lost wages
based on 24 hours a day wouldn't be considered realistic or fair, as it doesn't
reflect a typical work schedule and may not be accepted by authorities or
courts reviewing your case.
Here's a more reasonable approach to calculate
potential lost wages:
Example Calculation
Let's assume:
Weekly Earnings:
Total Weekly Earnings: £600 (regular) + £225
(overtime) = £825
Annual Earnings:
This
approach provides a realistic estimate of potential lost wages, considering
regular hours, overtime, and additional jobs.
This document outlines calculations and claims for compensation
due to Mr. Simon Paul Cordell’s Forged Criminal Record and business
losses over the years. It includes various financial aspects, such as:
Summary of Key Points
Conclusion
The document provides a comprehensive framework for assessing
compensation claims due to the significant impact of the forged criminal record
on personal, professional, and financial aspects.
|
Letter for
Insurance Claim [Your Name] [Your Address] [City,
State, ZIP Code] [Email Address] [Phone Number] [Date] [Insurance Company Name] [Claims
Department] [Insurance Company Address] [City, State, ZIP Code] Subject:
Claim for Compensation Due to Forged Criminal Record and Business Losses Dear [Insurance Company Name], Subject:
Claim for Compensation Due to Forged Criminal Record Dear [Recipient's Name], I am writing to formally submit a claim
for compensation due to the severe and prolonged impact of a forged criminal
record, which has resulted in significant financial and emotional suffering
over the past 27 years. The forged record has prevented me from
securing employment, building my own company, and has subjected me to
continuous police harassment. We have included the business losses
suffered to Mr. Simon Paul Cordell’s entertainment company, "Too
Smooth." Below, I have outlined the detailed
calculations of the potential lost wages, business losses, and other damages
incurred from 1997 to the present. Reason for
Claim The
forged criminal record has caused: FEES
ABOUT PERSON 1.
Reputation Damage: ·
The fabricated record has caused
irreparable damage to my personal and professional reputation, leading to a
significant decline in opportunities and trust from potential employers and
clients. £. 2.
My Personal Health and Future Impact ·
Medical Fees:
[Specify the amount] incurred due to injuries sustained, including ongoing treatment
and rehabilitation expenses related to stress and anxiety caused by this
situation. £. ·
Future Impact Fees and Expenses:
This includes potential medical expenses and any long-term care or support
that may be necessary as a result of the emotional distress experienced. £. 3.
Support Services: ·
Due to past negative experiences
with previous support services, I have not engaged with them to an extent
where it would be logical to trust them. The damage caused has made it
difficult to consider them as a viable option. However, a private option may
be considered in the future if it is affordable, and trust can be
established. As a result, I am now seeking private services that I can trust,
which will incur expenses totaling £. 4.
Emotional and Psychological Impact: ·
The distress and anxiety caused by this
situation have significantly affected my quality of life, mental health, and
ability to pursue my professional goals, resulting in ongoing psychological
suffering. £. 5.
Impact on Relationships: ·
The emotional toll and stigma
associated with the forged record have adversely affected my personal
relationships, leading to isolation and reduced social support. £. 6.
Variable Costs: ·
£15,000
in variable costs comprising supplies and resources essential for securing
employment opportunities that have been unattainable due to the
circumstances. FEES FOR
DAMAGED GOODS AND LOSSES PERSONAL PROPERTY 1.
Home Damage:
·
The police raids and harassment have
caused extensive damage to my home, including broken doors, windows, Cameras,
and other structural damage. The estimated cost of repairs is £X. 2.
Personal Belongings:
·
During the raids, several personal belongings
were damaged or destroyed, including electronics, furniture, and personal
items such as clothing. The estimated cost to replace these items is £X. FEES COMPANY
PROPERTY 1.
Office Equipment:
·
The police actions have resulted in
damage to office equipment, including computers, printers, and other
essential devices. The estimated cost to replace or repair these items is £. 2.
Inventory:
·
The raids have also led to the destruction
of inventory, including party supplies, equipment, and other products. The
estimated cost to replace the inventory is £. 3.
Website and Online Presence:
·
The disruption caused by the police
has led to the loss of my company's online presence, including the website
and digital marketing efforts. The estimated cost to rebuild and restore the
website and online presence is £. POTENTIAL
ANNUAL REVENUE LOSS 1.
Estimated Revenue:
·
£50,000
based on a combination of pro-bono work and potential client charges that I
have missed due to the circumstances stemming from my forged record. 2.
Client Database Value, Damaged: ·
Valuation of my client database at £5,000, reflecting the
potential revenue that could have been generated if I had been able to
establish my own business without the hindrance of a criminal record. 3.
Professional Licensing Complications: ·
If applicable, the forged record may
impact my ability to renew or obtain necessary professional licenses or
certifications, resulting in additional fees and time lost. Estimated costs: £. 4. Market
Position Loss: ·
The forged record has hindered my
ability to compete effectively in my professional field, driving clients to
competitors and diminishing market position, potentially leading to a
long-term revenue impact of £. 5.
Lost Opportunities: ·
Estimated loss of £20,000 due to missed job
contracts, professional development opportunities, and other avenues that
were reachable had my record not been forged. 6. Potential
Annual Revenue: ·
£50,000
(based on pro bono work and potential charges) LEGAL EXPENSES 1.
Litigation Costs:
·
Legal fees incurred while attempting to
rectify the forged record amounting to £3,000. 2.
Additional Legal Fees and Taxes:
·
Anticipated costs associated with
ongoing legal representation and other related expenses. 3.
Fixed Costs: ·
Monthly fixed costs amounting to £10,000 for maintaining
basic living expenses and operations, which include rent, utilities, and
healthcare. 4. Variable
Costs Defence Work: ·
£15,000
(supplies, labour ) 5. Fixed
Costs Defence Work: ·
£10,000
(website, equipment, rent) 6.
Travel Defence
Work: ·
Background:
This section outlines the travel defense work
related to the recent legal proceedings involving a total of 68 arrests.
Out of these, 10 individual cases have been found guilty of minor offenses, while
the remaining cases are primarily concerned with the implications of wrongful detentions,
that cased excessive travel from police stations, and
time
lost due to these detentions. Furthermore, there is an ongoing
issue regarding 31 convictions that have brought about confusion for
Mr. Cordell. This confusion primarily stems from inconsistent data recorded
in a copy of the polices PNC printout, that the hold about him, which are in
error and have affected the understanding of these convictions. ·
Travel Considerations:
Each of the 31 convictions requires attendance in front of a lower court,
necessitating travel for legal representatives and witnesses. The estimated
travel for these cases involves approximately five or more attendees for each
session. In instances where cases are appealed, these figures can double,
resulting in increased travel demands. ·
Cost Breakdown:
To ensure appropriate representation and address
the wrongful detainments, the following cost breakdown for travel and
associated expenses is proposed: ·
Cost Breakdown: a)
Travel Expenses: £ b)
Accommodation: £ c)
Meals: £ d)
Miscellaneous: £ *
Total Amount Requested:
£ TORTURE
ELEMENT 1.
Police Council and Mental Health Services
Harassment, Including Unauthorized Involvement of Neighbors and Other Members
of the Public: ·
I have experienced relentless harassment
from the police, which has severely impaired my ability to work and maintain
a normal life. £. THE
SELLING OF COPYRIGHTS 1.
Addendum: Selling of Publishing Rights ·
As part of my
ongoing efforts to mitigate the financial losses and emotional distress caused
by the forged criminal record, I am also seeking to sell the publishing
rights of any related intellectual property I have developed over these
years. This intellectual property includes, but is not limited to, written
documents, research, and potential creative content that outline my
experience with the injustices stemming from the fabricated record. ·
The decision to
sell these publishing rights arises from the need to secure additional
financial resources to cover the overwhelming costs associated with the claim
detailed above. It will also serve to raise awareness of the impacts of
forged criminal records on individuals and their families, potentially aiding
others who may find themselves in similar unfortunate situations. 2.
Justification
for Sale: a)
Financial Recovery: ·
The sale of these publishing rights
is aimed at recouping a portion of my lost income, allowing me to cover
ongoing legal fees, medical expenses, and other related costs. b)
Awareness Raising: ·
By publishing my story, I intend to
shed light on the serious ramifications of such injustices, contributing to
public discourse and possibly offering support to others impacted by similar
circumstances. c)
Reputation Rehabilitation: ·
This move is also part of my broader
objective to rehabilitate my personal narrative and restore my reputation in
both the personal and professional spheres. 3.
Estimated
Value: ·
The value of
the publishing rights will be determined by market research and based on the
anticipated interest from potential publishers or platforms that resonate
with the themes of my experiences. I am currently exploring opportunities for
collaboration with interested parties to ensure that my story can be told
with the respect and visibility it deserves. ·
I kindly urge [Insurance
Company Name] to consider the financial
implications associated with the sale of these rights as part of my broader
claim for compensation. The ongoing damages I have suffered due to the forged
criminal record, as outlined, have resulted in not only immediate financial
hardship but also significant long-term impacts that require appropriate
restitution. Optional Total: £. CALCULATION OF COMPENSATION AND
BUSINESS LOSSES (INCLUDING OVERTIME) 1. Overview Of Salary Expectations and
Those Business Losses: ·
In
the context of potential employment and compensation in the United Kingdom,
particularly for high-ranking positions, here are key salary benchmarks: -- a) Being the next President or Mayor and on such
a salary in the United Kingdom: 1) Potential Salary: The Mayor of London earns around £150,000
per year. b) Being One of The Top Eight Paid Police
Officers In The United Kingdom: 1) Potential Salary: Senior police officers
generally earn between £100,000 and £150,000 per year. c) Being One of The Top Eight Paid Enfield
Council Officers in The United Kingdom: 1) Potential Salary: Senior council officers
can earn similar to senior police officers, often ranging from £100,000 to
£150,000 per year. For example, Ian Davis, the Chief Executive of Enfield
Council, earned £221,604 per year before moving to Lambeth Council to
earn £230,000 per year. d) Being On a Top Doctor’s Salary in The
United Kingdom: 1) Potential Salary: Top doctors, such as
consultants in specialized fields, can earn over £150,000 per year. HISTORICAL CONTEXT OF WAGE CALCULATIONS
(1997-2003) 1. Wage Calculations: ·
To
provide further context, I have analyzed real time wage scenarios from 1997
to 2003, particularly focusing on individuals starting their careers around
age 16, before the implementation of the National Minimum Wage, and the
subsequent increases in minimum wage rates up to 2025. 2. Summary of Potential Losses ·
As
per the historical wage scenarios and the calculated wages of various
positions, the long-term losses due to employment disruption caused by
fraudulent activity are significant. Given the potential salaries of
leadership roles I would have achieved, I argue for substantial compensation
reflecting the income I would have earned based on market conditions and my
professional capabilities. ·
This
analysis provides a solid framework for assessing my compensation and losses
due to interruptions in my career trajectory, emphasizing the disparities
between potential identity and actual experiences. ·
In
summary, the potential salaries of prominent roles in the UK, alongside the
fluctuations and advancements in wage regulations over time, provides a
strong foundation for justifying claims for compensation. The historical data
not only supports the expected income levels but also underscores the
financial impact of any disruptions faced in my professional path. 1997-1999: No
National Minimum Wage 1997: 16 years
old
Job Types:
1998: 17 years
old
Job Types:
1999: 18 years
old
Job Types:
1999-2009: National Minimum Wage
Introduced 1999: 18 years
old
Job Types:
2000: 19 years
old
Job Types:
2001: 20 years
old
Job Types:
2002: 21 years
old
Job Types:
2003: 22 years
old
Job Types:
2004: 23 years
old
Job Types:
2005: 24 years
old
Job Types:
2006: 25 years
old
Job Types:
2007: 26 years
old
Job Types:
2008: 27 years
old
Job Types:
2009: 28 years
old
Job Types:
2010-2019: Updated Minimum Wage Rates 2010: 29 years
old
Job Types:
2011: 30 years
old
Job Types:
2012: 31 years
old
Job Types:
§ Considering the additional context
provided about my entertainment company, "Too Smooth," and the
services it provided, here is an updated calculation for 2013 and onwards for
it: 2013: 32
years old
Job Types:
2014: 33
years old
Job Types:
2015: 34
years old
Job Types:
2016: 35
years old
Job Types:
2017: 36
years old
Job Types:
2018: 37
years old
Job Types:
2019: 38
years old
Job Types:
2020: 39
years old
Job Types:
2021: 40
years old
Job Types:
2022: 41
years old
Job Types:
2023: 42
years old
Job Types:
2024: 43
years old
Job Types:
2025: 44
years old
Job Types:
Total Estimated Loss for "Work" from 1996 to 2013 Year | Total Loss --------|------------ 1996 | £ 1997 | £ 1998 | £ 1999 | £ 2000 | £ 2001 | £ 2002 | £ 2003 | £ 2004 | £ 2005 | £ 2006 | £ 2007 | £ 2008 | £ 2009 | £ 2010 | £ 2011 | £ 2012 | £ --------|------------ **Total**| £ Total Estimated Loss for "Too Smooth" from 2013 to 2025 Year | Total Loss --------|------------ 2013 | £2,350,000 2014 | £2,467,500 2015 | £2,585,000 2016 | £2,703,000 2017 | £2,821,000 2018 | £2,937,500 2019 | £3,055,000 2020 | £1,822,500 2021 | £2,450,000 2022 | £3,407,500 2023 | £3,310,000 2024 | £3,435,000 2025 | £3,555,000 --------|------------ **Total**|
**£36,898,000** Given this
detailed breakdown, the total estimated financial loss for "Too
Smooth" entertainment company from 2013 to 2025 is approximately £36,898,000. I owned an entertainment company and invested
significantly in building an expensive website and purchasing equipment.
Unfortunately, the police illegally stopped me from trading just as the
business was starting to take off. Several years have passed, and I am now
claiming damages. The website sold products for parties and supplied
equipment ranging from amps to speakers. It also offered supplies and
services. I built a substantial client database and provided entertainment
for birthday parties while fostering a sense of community. We also held
community events, with the ultimate goal of organizing a major international
festival. The website, Too Smooth, is no longer fully operational as it
became too costly to maintain while my human rights were being infringed.
Some features included a community forum based on a model constitution of
rights, which served as a replacement for our local community halls that were
closing down. Another department, the shopping center, aimed to provide
opportunities throughout the year. It was designed to be an online shop
focused on entertainment and aspects that would help the festival flourish. Due to the company's early stages, much of the work was
pro bono until licensing was fully secured for major events and private
birthday parties. The company, "Too Smooth," held events in
collaboration with my local council but was not allowed to charge for these
events as they were held under a temporary event notice that permitted up to
500 people, including staff, with no fees allowed. The private birthday parties we organized fell into two
categories, based on customer requests, who were mostly friends and family
helping me out. The first category of house parties was held in private homes
and rented halls, arranged by the clients themselves. I provided
entertainment for free but recovered some of my costs. The second category of
house parties was less complex, as they were offered for free to build a
long-term client base. As the website was being developed, the police placed
an illegal ASBO on me, preventing me from trading in the entertainment
company. They claimed that I could only hire to the wealthy and not to the
poor who were allowed to squat. Total Compensation The total compensation for the loss
of income and suffering from 1997 to 2024 is £1,631,091.20. Now, if we divide this amount
by 13, Government Companies the result would be approximately £389.26
Per Day. Therefore, if 50 million pounds were divided evenly over 27
years and then further divided by 13, each portion would amount
to approximately £389.26 Per Day. Conclusion In
total, I am seeking compensation for the outlined damages and losses, which
amount to a comprehensive recalibration of my situation, both financially and
emotionally, after enduring this injustice for 27 years so, I kindly request that you review my claim
and provide the appropriate compensation for the financial and emotional
suffering I have endured due to the forged criminal record. I have attached
all relevant documents and evidence to support my claim. 1+ Our Requests: -- a) These allegations are of a serious nature
and warrant immediate attention and for these reasons we request either of
the following: -- (1) A Meting to Be Held for An Official Investigation to Take
Place: -- a. Where Our claims are to be taken in an official format
and treated appropriately as of the serious nature of their claims as to what
they are for and if the following is not chosen to be adhered towards then
for the following to proceed: -- (2) From
Yourselves, We Are Requesting the Claim of The Following:
-- a. Our First
request is for Mr. Simon Paul Cordell to be immediately rehoused as for the
prior reasons that the Court order made in the Lower Court of Edmonton North
London Ordered on the date of 09/08/2018. b. The Second request that we
make is for the accused as liable to comply with Our Compensation Request to
be agreed to as settled at the sum of: -- c. £ 50,000,000.00, that is equivalent to Fifty Million Pounds UK Sterlin. d. We also, submit
Our third request to be that for all Government records held about the Now
Claimant to be deleted within accordance to law. b) We have calculated Our sums for the second
request by mainly accounting for the number of days that the Now Claimant has
been forced to wrongly suffer due to Government company failures by: --- a. This
claim spans from 1997 to the current year of 2024, encompassing both of [Past and Future
Damages.] It accounts for the losses endured by the
Now Claimant over a period of 9,900 days, extending up to his life expectancy, unless
further complications arise. Our calculations are based on the hardships that
he as the Now Claimant has unjustly been subjected to and continues to
endure. b. The
life expectancy of a mixed-race male born in the UK and living in London,
leading a healthy lifestyle, is approximately 79.3 To 79.7 Years. However, it is crucial to note that
the Claimant’s life expectancy was and still is adversely affected due to the
following factors for which we hold the liable party responsible: - (1) Racial
And Discriminatory Profiling, (2) Harassment,
(4) Fraud, (5) Deliberate
Life Endangerment. c. These
factors, particularly stress, trauma, and discrimination, are well-documented
for their negative impacts on health. (1)
Calculations: d. The
Now Claimant was born in January 1981, and this means
that he is 42 Years
of age as of January 2024 and he is
soon to be [43 Years of Age.] e. The
Now Claimant was sixteen when he received his first reprimand caution,
meaning that this claim is now set for 27 years. Additional
Notes of importance are: The claimant's
mother, who has also been adversely affected by the negligence of the 13
government companies, magnanimously states that if her son receives the full
requested sum of money, she will graciously refrain from pursuing her own
claim for compensation. This selfless act demonstrates her unwavering belief
in the fairness and just resolution of the matter. By putting aside her
personal grievances for the greater good, she exemplifies an admirable
character that not only seeks rightful restitution but also seeks to
contribute to the overall well-being of all parties involved. Her decision
showcases a remarkable sense of empathy and understanding, elevating this
case to one of exceptional and commendable circumstances. We
trust that you will give due consideration to our requests and take
appropriate action in this matter. |
In most of the cases
I have had, I have hired a solicitor and won, but I have not been compensated.
Meanwhile, others involved, such as the police, judges, and solicitors, have
been paid and I have unfairly
borne the financial losses. Additionally, I had to create and maintain
horrificcorruption.com to store my case files, incurring costs for web
development, including HTML
coding and other related expenses.
Without this website, the doctors and authorities
would go against me, regardless of the strength of my evidence. Having the
original files readily available makes it illegal for them to disregard the
evidence. I want to claim
back all the expenses for the defense work I have
done, including creating and maintaining horrificcorruption.com.
Otherwise, I would have spent my time building my festival/entertainment
company toosmooth.co.uk,
for which I am also claiming compensation.
Points of the Claim:
1.
Uncompensated
Victories: Despite winning most cases with the help of a
solicitor, I have not received any compensation, unlike the police, judges, and
solicitors involved.
2.
Website Development
Costs: I had to create horrificcorruption.com to store my
case files, incurring costs for web development and maintenance.
3.
Defense Work Expenses: The
website was crucial to ensure that my evidence was not disregarded by doctors
and authorities, who would otherwise act against me.
4.
Lost Business
Opportunities: I would have spent my time building my
festival/entertainment company toosmooth.co.uk, which I am also claiming
compensation for.
If I am making a
claim to get my rent back and the total rent claimed over the years amounts to
£150,000, and the flat is worth £300,000 and due to the right to buy, with is
half the flat value say £150,000, the two add up to £300,000, make the value of
the flat that the Enfield Council and Co are in management of. The damages from
the fraud the Enfield Council and Co have caused me is severe. A judge ordered
a court order to them for me to be moved, but after revealing the truth in
emails, the council went against their word and the judge's orders. They
clearly lied and sought another possession order for housing.
Therefore, can I
claim £300,000 back due to the right to buy and the rent being reclaimed to buy
my own like-for-like home like the judge ordered they must provide me with to
ensure my safety? The government has tarnished my name to avoid trouble, making
up lies and spreading them through their media, endangering my life, and
causing neighbours to illegally attack me in my home and allowed it to
continue. The same government locked me in my home with a fraudulent ASBO and
nine driving bans, encouraging neighbours and doctors to target me as they
filed fraudulent court orders, such as possession Orders and court Injunction
Orders restricting me from going to my home to which they lost at court.
Given this situation, it would be appropriate to
include the £300,000 for the “Right-To-Buy
Property” value in your claim as well as rent. You could request compensation that
reflects the total financial loss, emotional distress, and personal harm you
have suffered, as well as ensuring your safety by securing a like-for-like
home.
If you need any further adjustments or additional
information for your claim, feel free to let me know! 😊
Due to the severe
and prolonged impact of fraudulent activities, including a forged criminal
record, I have suffered significant financial and personal harm. These actions
have adversely affected my financial situation, my business ("Too Smooth"),
and my personal well-being. As part of my claim, I am seeking compensation for
the following:
Detailed Damages
and Compensation
1. Rent
Claims and Property Value:
a)
Total rent claimed
back over the years: £150,000
b)
Value of the flat:
£300,000 (right-to-buy consideration)
2. Business
Losses ("Too Smooth"):
a)
Total estimated
loss from 2013 to 2025: £36,898,000
3. Personal and Emotional Harm:
a)
Endangerment of
life due to false accusations and media dissemination
b)
Illegal attacks by neighbors encouraged by fraudulent actions
c)
Fraudulent ASBO and
multiple driving bans
d)
Emotional distress
and mental health impact
4. Legal
and Court Orders:
a)
Ignoring court
orders and judges' directives, leading to further harm and loss
Given the scale of
the damages and the comparative potential earnings in high-paying positions, I
request compensation that reflects the total financial loss, emotional
distress, and personal harm I have suffered. This includes the £300,000 for the
right-to-buy property value, the rent claimed back, and a like-for-like home to
ensure my safety and well-being.