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Legal Status

Davis Law Associates is authorised and regulated by the Solicitors Regulation Authority (the independent regulatory body of the Law Society of England and Wales) registration number 522432.  

Davis Law Associates is not authorised under the Financial Services and Markets Act 2000 but we are able, in certain circumstances, to offer a limited range of investment services to clients because we are members of the Law Society of England and Wales and regulated by the Solicitors Regulation Authority. 


Value Added Tax Number

Davis Law Associates is registered for VAT purposes with VAT registration number GB 385524039.


Professional Indemnity Insurance

Davis Law Associates has professional indemnity insurance with Travelers Insurance Co Ltd. The insurance extends to the provision of legal services as a Solicitor or Registered European Lawyer anywhere in the world.


Professional Rules

Davis Law Associates is authorised and regulated by The Solicitors Regulation Authority.


Client Care

Davis Law Associates always aims to provide you with the best possible service and deal with any problems that may arise promptly.  However, if you have any concerns in relation to our service, you should raise your concern with the person responsible for the particular matter as soon as possible.  If, for any reason, we are unable to resolve any concerns you may have, you have recourse to the complaints and redress scheme provided by the Solicitors Regulation Authority and the Legal Complaints Service.



Davis Law Associates is committed to the prevention, deterrence and detection of bribery and corruption and takes the risks of such activity very seriously. Although we believe that the risk to our firm is minimal, we have taken a number of steps to guard against the possibility of bribery and corruption, taking into account the Bribery Act 2010 and guidance from the Law Society and the Ministry of Justice. This includes the implementation of a comprehensive anti-bribery policy which all partners, employees, agents and service providers are expected to act in accordance with.

We will actively investigate all suspected breaches of our anti-bribery policy and, where appropriate, invoke disciplinary action. All suppliers, contractors and service providers of the firm are notified by letter or email of the existence of our policy and the firm's expectations that services will be carried out in compliance with the Bribery Act 2010. Further checks and specific anti-bribery obligations are imposed on any suppliers who are considered to represent a material risk. We hold regular training sessions to ensure all our partners and staff are aware of our anti-bribery policy and of their obligations under the Bribery Act 2010.