MONK AND TURNER SOLICITORS LLP
SRA-regulated firm
- Head office address
- LONDON View contact details
- Website
- www.monkturner.co.uk
- Type of firm
- Recognised body since 01/11/2011, authorised for all legal services
- Regulator
- Solicitors Regulation Authority
- SRA number
- 499566
- Regulatory record
- Show regulatory record
We set the rules for this firm. There are benefits and protections for customers of SRA-regulated firms.
Important information
- The firm can provide all types of law, including reserved legal activities
- Everyone working in this firm must follow our rules
- If things go wrong, the firm must have insurance cover
- If things go wrong and your money is lost, our compensation fund may be able to reimburse you
- If things go wrong we may be able to get your documents and money back
Areas of law shows the sort of work this firm does. Reserved activities lists the special legal jobs this firm can do because we regulate it as a law practice.
DECISION HISTORY
This section gives the disciplinary and regulatory decisions published under our decision publication policy.
Decision - Fined
Outcome: Fine
Outcome date: 14 January 2025
Published date: 4 February 2025
Firm details
Firm or organisation at date of publication and at time of matters giving rise to outcome
Name: Monk and Turner Solicitors LLP
Address(es): 80a Ashfield Street, Unit 2, London, E1 2BJ
Firm ID: 499566
Outcome details
This outcome was reached by SRA decision.
Decision details
Monk and Turner Solicitors LLP was directed to pay a fixed financial penalty of £1,500 and costs of £150.
Reasons/basis
Monk and Turner Solicitors LLP is a recognised body whose office is at 80a Ashfield Street, Unit 2, London, E1 2BJ.
Firms must at all times have in place a compliance officer for legal practice (COLP) and a compliance officer for finance and administration (COFA).
A firm must designate a person as its COLP and a person as its COFA and the SRA must approve that person before they commence their role.
The COLP and COFA of a firm have specific responsibility for ensuring a firm, its managers and employees comply with the SRA's regulatory requirements. They are also responsible for recording any breaches and reporting those to the SRA, where necessary.
A firm must promptly notify the SRA if it becomes aware of any material changes to information previously provided to the SRA, by it or on its behalf, including to its compliance officers.
The firm failed to:
- promptly notify the SRA of a material change to the information it had previously provided to the SRA about its COLP and
- promptly notify the SRA of a material change to the information it had previously provided to the SRA about its COFA
in breach of paragraph 3.8(a) of the Code of Conduct for Firms.
The firm continued to breach this requirement after the SRA directed it to pay a fixed financial penalty of £750.
The firm was directed to pay a fixed financial penalty of £1500 and costs of £150.