Day 053 - 22 Nov 94 - Page 03
1 milkshakes, etc., are a useful and nutritious part of any
2 diet.
3
4 "What they don't make clear is that a diet high in fat,
5 sugar, animal products and salt (sodium), and low in fibre,
6 vitamins and minerals - which describes an average
7 McDonald's meal - is linked with cancers of the breast and
8 bowel, and heart disease. This is accepted medical fact,
9 not a cranky theory. Every year in Britain, heart disease
10 alone causes about 180,000 deaths."
11
12 We contend that the meaning of that is clear, which is that
13 (a) a diet high in fat, sugar, animal products and sodium,
14 and low in fibre, vitamins and minerals is linked with
15 cancers of the breast and bowel and heart disease -- and
16 I will explain later about links in more detail; (b) that
17 this is the considered opinion not of a marginal group but
18 rather of many respected and authoritative bodies in the
19 medical/scientific community; (c) that an average
20 McDonald's meal fits the description of being high in fat,
21 sugar, animal products and sodium and low in fibre,
22 vitamins and minerals; (d) that it is, therefore,
23 misleading for the Plaintiffs to claim in their Nutrition
24 Guides and elsewhere that its food, as set out in the
25 leaflet which refers mass-produced hamburgers, chips, colas
26 and milkshakes, is a useful and nutritious part of any
27 diet.
28
29 Up until fairly recently, the meaning of the word "link"
30 has not really been questioned. Both sides have used
31 "link" or its equivalent, as in relationship and
32 association, in their pleadings, and neither side asked for
33 clarification of what "link" meant. It was only after the
34 Plaintiffs' witnesses conceded under cross-examination that
35 it was widely accepted that there was a link between diet
36 and cancer that the Plaintiffs sought to claim that it
37 meant something different in the context of the fact sheet.
38
39 MR. JUSTICE BELL: Yes. When I say "yes", I may or may not be
40 agreeing; it is just that I have taken on board what you
41 are saying.
42
43 MS. STEEL: Yes.
44
45 MR. JUSTICE BELL: Carry on. I would like you to help me in
46 relation to that at some stage in your submissions because,
47 for instance, if one looked at Dr. Barnard's statement
48 (which, I think, is his first statement which is dated
49 23rd July) he uses the word "link" on a number of
50 occasions, but it might be thought, in the light of how he
51 starts the statement, that he can only be using "linked" as
52 meaning "causally linked".
53
54 MS. STEEL: I do not have his statement.
55
56 MR. JUSTICE BELL: I have mentioned it now. If you are still on
57 your submissions at the midday break, you can look it up
58 then; if you are not, we will have a pause while you have
59 another look at it.
60