Page 459 - 6. 2016 Diary 1st half New 26-05-21 No Table
P. 459
He states he knows the area very well as this is where he has lived all of his life, so he knew
about the car park at the back of the two well-known landmarks, as he states you cannot park
on the highroad, because of the double yellow lines or other restrictions. He had parked there
before; He states he believes and knows that the police saw his car as he began to take a right
turn to be able to drive down to where he intended to stop. He knew the police had followed
him, as he had seen them pay attention to himself as he had driven past. He does clearly
remember that of himself lock his vehicle as the police approached him and now was
standing by his side. He states that this is normal for him and over the years of his life he has
become use to the police approaching him for numerous accusations, so that has also made
him used to their presents, Mr Simon Cordell states that that this is so normal for him, so he
got ready for the police procedures, as they said they wanted to search him and his car
because the police believed that the car he was driving smelt strongly of cannabis, Mr Simon
Cordell sates that he would always consented to this. He is sure of his statements of facts and
that the police cannot dispute this, that of the police officers that had approached him and
who had stopped him as he had just got out of my car, or how would they have said his car
smelt strongly of cannabis, which is the reason that the police officers gave him the
conditions of search and their consent form due to a search of himself and that of his vehicle
that he was driving.
Mr Simon Cordell will state that he had not done anything wrong and nothing was found on
his person or in his car.
Mr Simon Cordell will dispute making any comments about being able to attract people to
illegal raves and illegal 3-day events, what reason would he have had to say this.
Mr Simon Cordell will state to the applicant that he was a visitor to the location of interest,
due to a call from a friend who asked if Mr Simon Cordell could loan him some money for
food. He will also include that he did not cause any Anti-Social Behaviour on the 24th May
2013.
Mr Simon Cordell does not know what Joshua said to the police, as he was never with
Joshua. Mr Simon Cordell does not know why Joshua would have said to the police that he
was his lawyer, or if Joshua said this at all to police. Mr Simon Cordell has tried to get hold
of Joshua to make a statement for this case, but due to him being homeless, it has been very
hard. As far as he is aware the building was being occupied by people to live in, he states he
does not know anything Joshua said to police about know any think about a rave. Mr Simon
Cordell did not manage to visit him on this day.
459
211,
Edited part 5.pdf
At no point is Mr Simon Cordell being accused of acting in an anti-social manner on this
date, or by any members of the public inclusive of members of the police, neither was he
arrested.
There are no cads for this date.
• In Reference to Pages 2 / 3 - pages 98 to 100 created by Steve Hoodless yr contained
within the applicant’s application bundle.
- = was involved in the organization of and / or supplied equipment for and / or
attended an illegal rave at unit 5, St George’s Industrial Estate, Whit Heart Lane, N17.
25/05/2014 = Mr Simon Cordell will state that he did not attended any premises on this date
to rave neither was I involved in the organization of any raves, nor did he supply equipment
for an illegal rave at unit 5, St George’s Industrial Estate, Whit Heart Lane, N17.
In respect of Mr Simon Cordell presence at Unit 5 St George’s Industrial Estate, White Hart
Lane on 25th May 2014. He attended a commercial building that the occupiers were residing
in, having displayed s144 LASPO notices and in turn treating the premises as their home.