Day 278 - 11 Jul 96 - Page 16


     
     1        campaign.
     2
     3   Q.   Have you got that little bundle of Mcspotlight documents
     4        that I disclosed the other day?
     5        A.  No.
     6
     7   Q.   I hope your Lordship has got it?
     8
     9   MR. JUSTICE BELL:  Well, I will look for it.
    10        A.  I have not got them up here.  I don't know if there is
    11        another copy.
    12
    13   Q.   We will get them.
    14
    15   MR. JUSTICE BELL:  Was I told to put it in a particular page?
    16
    17   MR. RAMPTON:  No, I don't think you were, no.
    18
    19   MR. JUSTICE BELL:  Because I actually read it through, but--
    20
    21   MR. RAMPTON:  1C, my Lord, pink 1C 227.
    22
    23   MR. JUSTICE BELL:  Yes.
    24
    25   MR. RAMPTON:  Pink 1C, tab 227.
    26
    27   MR. JUSTICE BELL:  Yes, I was obviously told because that is
    28        where I have put it.
    29        A.  What number sorry?
    30
    31   MR. JUSTICE BELL:  Right at the very back.
    32        A.  I have not actually read this, by the way, since you
    33        served it.
    34
    35   MR. RAMPTON:  The first one should be dated -- well, it has got
    36        a Barlow Lyde & Gilbert, mine has a Barlow Lyde and Gilbert
    37        fax date at the top, February 1996, timed at 17.56; is that
    38        right?  You see at the bottom of the page, the first
    39        paragraph up from the last paragraph, 10.30 a.m.  This
    40        appears to be some kind of press release.  Do you see, it
    41        is dated 12th February?
    42        A.  Yes.
    43
    44   Q.   Yes.  "10.30 a.m.  Leicester Square, McDonald's, London W1,
    45        Mclibel 2 will access Spotlight for the first time on line
    46        on a laptop a connect by mobile phone to the Internet
    47        outside the McDonald's store at Leicester Square opposite
    48        the Swiss Centre.  Photo opportunities available."  Going
    49        back to something you said other day, do you really say you
    50        do not like publicity?
    51        A.  I actually do not like being filmed, photographed, or
    52        what have you.
    53
    54   Q.   You have actually courted the press throughout this trial
    55        have you not, both of you?
    56        A.  No, I have not personally, no.
    57
    58   Q.   No?
    59        A.  If they have wanted to speak to me I have spoken to
    60        them, although it actually is in quite a few cases when

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