SUTTON SPECIALIST RISKS LIMITED

Company number 02409309 ·

Active

1 notice naming this company in The Gazette, the UK's official public record

10 March 2025

CO.UK LIMITED In the matter of - Sutton Specialist Risks Limited - 02409309 we hereby retract the notice published in the London Gazette on the 4th March 2025. The notice should not have appeared and is hereby retracted. Louise Smyth Registrar of Companies for England and Wales In the matter of - Sutton Winson Consultancy Services Limited - we hereby retract the notice published in the London Gazette on the 4th March 2025. The notice should not have appeared and is hereby retracted. Louise Smyth Registrar of Companies for England and Wales In the matter of - TEN INSURANCE SERVICES LIMITED - 05225049 we hereby retract the notice published in the London Gazette on the 4th March 2025. The notice should not have appeared and is hereby retracted. Louise Smyth Registrar of Companies for England and Wales IN THE HIGH COURT HELD AT HARARE CASE NO. HCHF 332/24 In the matter between: LAWRENCE MASARA - PLAINTIFF AND GRACE GAVA - DEFENDANT NOTICE TO PLEAD TO: GRACE GAVA, Last known address 32 Simon Road Waterfalls, Harare. TAKE NOTICE that defendant is hereby required, if he or she wishes to defend, to purge his or her failure to enter appearance and to plead, answer or except, or make claim in reconvention, within 12 days of the date of delivery of this notice and that in default thereof judgment will be prayed against him or her. DATED AT HARARE THIS 17th DAY OF FEBRUARY 2024 G. S MOTSI LAW CHAMBERS Applicant’s Legal Practitioners Suite 3 Nort Wing 1st Floor, Belvedere Trading Building Crnr Princess/ Burton Road Belvedere HARARE (FTM) TO: THE REGISTRAR High court HARARE IN THE HIGH COURT OF JUSTICE KING’S BENCH DIVISION Before: The Honourable Mr Justice Morris On: 4 February 2025 Claim No. QB-2021-003841 BETWEEN TRANSPORT FOR LONDON Claimant -and- (1) PERSONS UNKNOWN DELIBERATELY CAUSING THE BLOCKING, ENDANGERING, SLOWING DOWN, OBSTRUCTING OR OTHERWISE PREVENTING THE FREE FLOW OF TRAFFIC ONTO OR ALONG THE 1) HANGER LANE GYRATORY INCLUSIVE OF ALL ADJOINING ENTRY AND EXIT SLIPS; 2) VAUXHALL BRIDGE INCLUDING VAUXHALL GYRATORY AND ALL ENTRY AND EXIT ROADS; 3) HAMMERSMITH GYRATORY INCLUSIVE OF ALL ADJOINING ENTRY AND EXIT ROADS; 4) BLACKWALL TUNNEL AND BOTH APPROACHES; 5) TOWER BRIDGE AND BOTH APPROACHES; 6) LONDON BRIDGE AND BOTH APPROACHES; 7) PARK LANE, INCLUSIVE OF MARBLE ARCH AND HYDE PARK CORNER; 8) ELEPHANT AND CASTLE INCLUSIVE OF ALL ENTRY AND EXIT ROADS; 9) VICTORIA ONE WAY SYSTEM; 10) A501/INNER RING ROAD FROM EDGWARE ROAD TO OLD STREET; 11) STAPLES CORNER; 12) CHISWICK ROUNDABOUT; 13) REDBRIDGE ROUNDABOUT; 14) KIDBROOKE INTERCHANGE, FOR THE PURPOSE OF PROTESTING ON BEHALF OF, IN ASSOCIATION WITH, UNDER THE INSTRUCTION OR DIRECTION OF, OR USING THE NAME OF, INSULATE BRITAIN (2) MR ALEXANDER RODGER AND OTHER DEFENDANTS LISTED IN THE SCHEDULE TO THE CLAIM FORM Defendants Claim No: QB-2021-004122 BETWEEN TRANSPORT FOR LONDON Claimant -and- (1) PERSONS UNKNOWN DELIBERATELY CAUSING THE BLOCKING, ENDANGERING, SLOWING DOWN, OBSTRUCTING OR OTHERWISE PREVENTING THE FREE FLOW OF TRAFFIC ONTO OR ALONG THE 1) LAMBETH BRIDGE AND BOTH ADJOINING ROUNDABOUTS; 2) HOGARTH ROUNDABOUT INCLUSIVE OF ALL ADJOINING ENTRY AND EXIT ROADS; 3) MARBLE ARCH INCLUSIVE OF ALL ENTRY AND EXIT ROADS; 4) ROTHERHITHE TUNNEL AND BOTH APPROACHES; 5) BECKTON ROUNDABOUT; 6) GANTS HILL ROUNDABOUT; 7) BRIXTON; 8) A406 (KNOWN AS THE NORTH CIRCULAR) BETWEEN AND INCLUSIVE OF ALL INTERSECTIONS WITH THE A40 HANGER LANE TO THE A13 ALFRED’S WAY INCLUSIVE OF ALL INTERSECTIONS; 9) A1 BETWEEN AND INCLUSIVE OF ALL INTERSECTIONS WITH THE A406 AT GREAT NORTH WAY TO ELSTREE WAY, BOREHAM WOOD; 10) A10 GREAT CAMBRIDGE ROAD BETWEEN AND INCLUSIVE OF ALL INTERSECTIONS WITH THE A406 NORTH CIRCULAR ROAD TO THE GLA ROAD BOUNDARY AT M25 JUNCTION 25; 11) A12 APPROACH TO BLACKWALL TUNNEL INCLUSIVE OF ALL INTERSECTIONS TO GLA BOUNDARY AT M25 J28; 12) A127 BETWEEN AND INCLUSIVE OF ALL INTERSECTIONS WITH THE A12 AT GALLOWS CORNER TO THE GLA ROAD BOUNDARY AT M25 J29; 13) A13/A1203/A1261 BETWEEN LIMEHOUSE LINK (INCLUSIVE) AND M25 JUNCTION 30 INCLUSIVE OF ALL INTERSECTIONS WITH THE BLACKWALL TUNNEL TO THE GLA ROAD BOUNDARY; 14) A102 APPROACH TO BLACKWALL TUNNEL INCLUSIVE OF ALL INTERSECTIONS THAT PROVIDE ENTRY AND EGRESS TO THE TUNNEL SOUTH AND NORTH SIDES; 15) A3 BETWEEN AND INCLUSIVE OF ALL INTERSECTIONS AT THE WANDSWORTH GYRATORY TO THE HOOK ROAD JUNCTION WHERE IT MEETS THE A309; 16) A40 BETWEEN AND INCLUSIVE OF ALL INTERSECTIONS WITHIN THE INNER RING ROAD AT A5 EDGWARE ROAD / HARROW ROAD TO THE GLA BOUNDARY; 17) A2 OLD BEXLEY LANE TO BLACKWALL TUNNEL INCLUSIVE OF ALL INTERSECTIONS; 18) A4 HYDE PARK CORNER INCLUSIVE OF ALL INTERSECTIONS TO KEW BRIDGE; 19) A302 WESTMINSTER BRIDGE BETWEEN BRIDGE STREET / VICTORIA OTHER NOTICES EMBANKMENT AND WESTMINSTER BRIDGE ROAD / LAMBETH PALACE ROAD; 20) A201 BLACKFRIARS BRIDGE BETWEEN NEW BRIDGE STREET AND BLACKFRIARS ROAD AND SOUTHWARK STREET/STAMFORD STREET, FOR THE PURPOSE OF PROTESTING ON BEHALF OF, IN ASSOCIATION WITH, UNDER THE INSTRUCTION OR DIRECTION OF, OR USING THE NAME OF, INSULATE BRITAIN (2) MR ALEXANDER RODGER AND OTHER DEFENDANTS LISTED IN THE SCHEDULE TO THE CLAIM FORM Defendants Claim No. KB-2022-003542 BETWEEN: TRANSPORT FOR LONDON Claimant -and- (1) PERSONS UNKNOWN DELIBERATELY CAUSING THE BLOCKING, ENDANGERING, SLOWING DOWN, OBSTRUCTING OR OTHERWISE PREVENTING THE FREE FLOW OF TRAFFIC ONTO OR ALONG THE 1) VAUXHALL BRIDGE INCLUDING VAUXHALL GYRATORY AND ALL ENTRY AND EXIT ROADS; 2) LAMBETH BRIDGE AND BOTH ADJOINING ROUNDABOUTS; 3) A1221 MILLBANK; 4) A4 - KNIGHTSBRIDGE & SCOTCH CORNER; 5) A202 ST GEORGE’S CIRCUS AND APPROACH ROADS; 6) A10 SHOREDITCH HIGH STREET, A1202 GREAT EASTERN STREET, A5201 OLD STREET; 7) A3211 VICTORIA EMBANKMENT; 8) LONDON BRIDGE AND BOTH APPROACHES; 9) TOWER BRIDGE AND BOTH APPROACHES; 10) ROTHERHITHE TUNNEL AND BOTH APPROACHES; 11) BLACKWALL TUNNEL & BOTH APPROACHES; 12) PARK LANE INCLUSIVE OF MARBLE ARCH AND HYDE PARK CORNER; 13) A302 WESTMINSTER BRIDGE BETWEEN BRIDGE STREET/VICTORIA EMBANKMENT AND WESTMINSTER BRIDGE ROAD/LAMBETH PALACE ROAD; 14) A501 EDGWARE ROAD TO OLD STREET; 15) VICTORIA ONE WAY SYSTEM; 16) ELEPHANT AND CASTLE INCLUSIVE OF ALL ENTRY AND EXIT ROADS; 17) BLACKFRIARS BRIDGE BETWEEN NEW BRIDGE STREET AND BLACKFRIARS ROAD AND SOUTHWARK STREET/STAMFORD STREET; 18) A4 TALGARTH ROAD IN THE VICINITY OF BARONS COURT TUBE STATION; 19) HANGER LANE GYRATORY INCLUSIVE OF ALL ADJOINING ENTRY AND EXIT SLIPS; 20) STAPLES CORNER; 21) CHISWICK ROUNDABOUT; 22) REDBRIDGE ROUNDABOUT; 23) KIDBROOKE INTERCHANGE, FOR THE PURPOSES OF PROTESTING ON BEHALF OF, IN ASSOCIATION WITH, UNDER THE INSTRUCTION OR DIRECTION OF, OR USING THE NAME OF, JUST STOP OIL (2) MS ALYSON LEE AND OTHER DEFENDANTS LISTED IN THE SCHEDULE TO THE CLAIM FORM Defendants JUDGMENT ORDER UPON yearly review hearings having been ordered in respect of the Final Injunctions made in the above Claims, so long as those injunctions remain in force. Herein, Claim Nos. QB-2021-003841 and QB- 2021-004122 and the final injunction made therein are referred to as the “TfL IB Claims” and the “IB Final Injunction ” respectively and Claim No. KB-2022-003542 and the final injunction made therein are referred to as the “TfL JSO Claim” and the “JSO Final Injunction” respectively AND UPON an application dated 27 July 2023 (“the Lewis Application”) having been made in the TfL IB Claims by the Named Defendants listed in Annex A to the review hearing judgment of Morris J handed down on 16 January 2025 (“the review hearing judgment”), to i) discharge the IB Final Injunction as against each of them in return for each giving a written undertaking to the Court promising not to do the prohibited conduct on roads/locations specified therein, and ii) remove their costs liability in the TfL IB Claims imposed by the Judgment Order of Morris J made on 3 May AND UPON the Claimant not opposing part i) of the Lewis Application above AND UPON the Court considering both before and after that hearing the documents filed for the purposes of the review hearing and Lewis Application AND UPON hearing counsel for the Claimant, Andrew Fraser- Urquhart KC and Charles Forrest, the then counsel for the Named Defendants listed in Annex B to the review hearing judgment, Stephen Simblet KC, Indigo Rumbelow in person (Named Defendant 114 in the TfL IB Claims and Named Defendant 50 in the TfL JSO Claim), and Mr Matthew Parry in person (Named Defendant 143 in the TfL JSO Claim) AND UPON the Court having accepted the above-mentioned written undertakings from those Named Defendants IT IS ORDERED THAT: 1. The IB Final Injunction is discharged as against the Named Defendants listed in Annex A to the review hearing judgment. An updated IB Final Injunction is the subject of a separate Order. 2. For the avoidance of doubt the JSO Final Injunction remains unchanged. 3. Part ii) of the Lewis Application above, relating to costs liability in the TfL IB Claims, is dismissed. 4. No Order as to costs in respect of the Lewis Application. 5. No Order as to costs in respect of the review hearing. 6. The Claimant shall: a. Place a copy of this Order on the TfL and Mayor of London/GLA London.gov.uk websites; and b. Email a copy of this Order to: i. Insulate Britain’s email addresses [email protected] and [email protected]; ii. Just Stop Oil’s email addresses: [email protected] and [email protected]; iii. Extinction Rebellion’s email address: [email protected]; iv. Animal Rebellion email addresses: [email protected], [email protected], [email protected], [email protected], [email protected], [email protected], [email protected], [email protected], [email protected], [email protected] and [email protected]; c. Publish a social media post on the TfL Twitter feed advertising the existence of this Order and providing a link to the TfL website webpage where it can be viewed; d. Send a notification of the existence of this Order to the Press Association; e. Place a notice of this Order in the London Gazette. 7. For the avoidance of doubt, compliance with paragraph 6 shall not constitute service. Communications with the Claimant The Claimant’s solicitors and their contact details are: FAO Mr Abbey Ameen Team Legal, Transport for London, 5 Endeavour Square, 4th Floor, Stratford, Yellow Zone, Stratford, E20 1JN Tel: 02030547921 BY THE COURT The Honourable Mr Justice Morris Dated: 4 February 2025 NOTIFICATION OF FLAG FLYING DAYS 2025 The Flags Regulations (Northern Ireland) 2000 (as amended by the Flags Regulations (Northern Ireland) (Amendment) 2002); the Flags (Northern Ireland) (Amendment) (EU Exit) Regulations 2020; the Flags (Northern Ireland) (Amendment) (No. 2) Regulations 2020); the Flags (Northern Ireland) (Amendment) Regulations 2022; and the Flags (Northern Ireland) (Amendment) (No. 2) Regulations 2022, and the Flags (Northern Ireland) (Amendment) Regulations 2023. In accordance with Part 2 of the Schedule to the above Statutory Rule (SR (N.I.) 2000 No 347), the days in 2025 on which the Union Flag is to be flown on government buildings in Northern Ireland are as follows: · 10 March: Commonwealth Day · 14 June: Official Birthday of His Majesty The King · 9 November: Remembrance Day Please note: · The Flags Regulations (Northern Ireland) 2000 (S.R. 2000/347) (“the Flags Regulations”) make provision as to the flying of flags at government buildings in Northern Ireland, in particular on which buildings and on which days flags must be flown. · The Union Flag must be flown on the above days in 2025 on all the buildings and in the manner specified in the Flags Regulations (Northern Ireland) 2000. · These days are in addition to the days already specified in Part 2 of the Schedule to the Flags Regulations (Northern Ireland) 2000. · Government building is defined in article 3(2) of the Flags (Northern Ireland) Order 2000 (SI 2000/1347 (N.I.3)) as ‘a building wholly or mainly occupied by members of the Northern Ireland Civil Service’ and “government buildings” in this notice should be construed in accordance with that definition. OTHER NOTICES An Initial Writ has been presented in the Sheriff Court at Glasgow by Sabeela Yasin, residing at 91 Trench Drive, Glasgow, G53 7QX for decerniture as executor-dative qua creditor to the deceased Nadim Kauser Yasin, latterly of 91 Trench Drive, Glasgow, G53 7QX. Neil Kilcoyne Solicitors 45 Hope StreetHH, Glasgow, G2 6AE Agent for the Petitioner DEPARTMENT FOR COMMUNITIES THE PENSIONS (NORTHERN IRELAND) ORDER 2005 The Pension Protection Fund and Occupational Pension Schemes (Levy Ceiling) Order (Northern Ireland) DEPARTMENT FOR COMMUNITIES THE PENSIONS (NORTHERN IRELAND) ORDER 2005 The Pension Protection Fund and Occupational Pension Schemes (Levy Ceiling) Order (Northern Ireland) 2025 The Department for Communities has made a Statutory Rule entitled “The Pensions (2005 Order) (Codes of Practice) (Revocation) Order (Northern Ireland) 2024” (S.R. 2024 No. 131) which comes into operation on 5th July 2024. The Rule revokes ten of the Pensions Regulator’s existing codes of practice. It also revokes four earlier versions of codes 5, 6, 7 and 13 which were not revoked when new versions were issued. The ten codes which are being revoked are being replaced by a new code of practice which provides more accessible guidance for pension schemes and incorporates changes introduced by the Occupational Pension Schemes (Governance) (Amendment) Regulations (Northern Ireland) 2018. Copies of the Rule may be purchased from the Stationery Office at www.tsoshop.co.uk or by contacting TSO Customer Services on 0333 202 5070 or viewed online at http://www.legislation.gov.uk/nisr. NOTICE IS HEREBY GIVEN, PURSUANT TO SECTIONS 1064 AND 1077 OF THE COMPANIES ACT 2006, THAT IN RESPECT OF THE UNDERMENTIONED COMPANY NOTICE OF APPOINTMENT OF A LIQUIDATOR WAS REGISTERED RECEIVED BY ME ON 26/02/2025 AND REGISTERED ON 04/03/2025.

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