Withdrawing notice to treat
Language: English Series: Times ; 18 December 1995, 34(1)Publication details: 1995Subject(s): Summary: In "R v Northumbrian Water Ltd ex parte Able UK Ltd" QBD 1 December 1995, it was held that an authority acquiring land under a compulsory purchase order was entitled to withdraw its notice to treat under the Land Compensation Act 1961 even after it had entered into possession of the land.| Item type | Current library | Call number | Copy number | Status | Barcode | |
|---|---|---|---|---|---|---|
| Law report | London Journal article | WB3201-14 (Browse shelf(Opens below)) | 1 | Available | 8924-1001 |
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| No cover image available | No cover image available | No cover image available | No cover image available | No cover image available | No cover image available | No cover image available | ||
| WB3147-37 Valuation | WB3147-40 Value of partnership share | WB3147-42 No capital allowance | WB3201-14 Withdrawing notice to treat | WB3201-24 Wayleave hearing - costs | WB3201-46 Keep open covenant | WB3201-57 Seller`s agent owed no duty of care |
In "R v Northumbrian Water Ltd ex parte Able UK Ltd" QBD 1 December 1995, it was held that an authority acquiring land under a compulsory purchase order was entitled to withdraw its notice to treat under the Land Compensation Act 1961 even after it had entered into possession of the land.