Day 164 - 26 Sep 95 - Page 03


     
     1   MR. MORRIS:  Could we just go through it in the order that it is
     2        in?
     3
     4   MR. JUSTICE BELL:  What I have said about 3A and 3B -----
     5
     6   MR. MORRIS:  3B is slightly different.  There is a supplementary
     7        list of Defendants' documents served or dated 28th January
     8        1995 ---
     9
    10   MR. JUSTICE BELL:  Yes.
    11
    12   MR. MORRIS:  -- which was a miscellaneous and it had different,
    13        as far as I know, sections in it.  The way I have it, it
    14        has different sections, and one of the sections was
    15        hygiene, food poisoning and animals.  I think it may have
    16        contained things like the references that Clare Druce was
    17        going to refer to.
    18
    19   MR. JUSTICE BELL:  What I was saying is with both 3A and 3B
    20        I will see if I can find a place they should go and I will
    21        raise it again with you if I cannot.
    22
    23   MR. MORRIS:  I am just clarifying what my notes say there.  The
    24        next statement is a Civil Evidence Notice for David Dudley
    25        Boyden.  I have employment witnesses file, the Defendants'
    26        employment witnesses, file B, 11 question mark -- I am not
    27        sure what number it is up to.  It is somewhere at the back
    28        of that file.
    29
    30   MR. JUSTICE BELL:  No, it was typed up to Dan Gallon, 9; I go
    31        10, Hassen Lamti; 11 Chantal Villeneuve-Gallez; 12 Sarah
    32        Ingliss; 13 William Davidson; 14 Alistair Duncan and so by
    33        my count that would be B15.
    34
    35   MR. MORRIS:  Do you want to file them as we speak?
    36
    37   MR. JUSTICE BELL:  I am merely making a note and then I will put
    38        them away in due course.
    39
    40   MR. MORRIS:  Then supplementary statements, that is, my
    41        supplementary statements, is in the general witness
    42        statements F2, so far as I am aware.
    43
    44   MR. JUSTICE BELL:  Then Mr. Mombiot you want to go after his
    45        No. 3, do you?
    46
    47   MR. MORRIS:  G3, yes, in general witnesses.  Then there is a
    48        further statement from James Nations.
    49
    50   MR. JUSTICE BELL:  He goes in L2 as a supplemental? 
    51 
    52   MR. MORRIS:  Yes, and the reference that he referred to in his 
    53        statement, supplementary statement, should go immediately
    54        behind it because the statement was a verification of that
    55        article that he wrote.  Mr. Colin Campbell, if you may
    56        recall, was someone who I think his evidence was read out
    57        as a Civil Evidence Act Notice during the nutrition
    58        section.  He has written further supplementary statements.
    59
    60   MR. JUSTICE BELL:  Yes, I remember.  He is from Cornell.

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