Day 195 - 04 Dec 95 - Page 25


     
     1
     2   Q.   Would they be fairly typical or representative of a typical
     3        pay slip, or were they unusual examples or what, if you
     4        could just explain?
     5        A.  They were not an usual example and they were kept at
     6        random, so I should think they represent, yes, the typical
     7        working week.
     8
     9   MR. JUSTICE BELL:  You say they were not an unusual example?
    10        A.  They were not unusual, no.
    11
    12   Q.   I merely that say because of what has appeared on
    13        CaseView.  Who did you hand those to, first of all?
    14        A.  First of all, I think I gave them to TICL.
    15
    16   MS. STEEL:  I think that was who we got them from or their
    17        solicitors, I cannot remember, but we did not get them from
    18        Mr. Alimi.
    19
    20   MR. JUSTICE BELL:  That is really a lead up to my next
    21        question.  Did you give all the pay slips you still had to
    22        TICL or did you select some to give to them?
    23        A.  I merely gave them what I had.
    24
    25   MR. MORRIS:  We certainly disclosed all the ones which we had.
    26
    27   MR. JUSTICE BELL:  I am not concerned about that; I am just
    28        concerned about the first step in the process.
    29
    30   MS. STEEL (To the witness):  Whilst you were at McDonald's were
    31        you ever paid overtime?
    32        A.  Not that I remember.  I think, if I remember correctly,
    33        there might have been occasions like Bank Holidays that
    34        I was paid overtime, but I do not remember having been paid
    35        overtime.
    36
    37   Q.   Apart from that?
    38        A.  Apart from that, no.
    39
    40   MS. STEEL:  I do not know whether there was anything you wanted
    41        to ask about the -----
    42
    43   MR. JUSTICE BELL:  I will just ask about that, but then I will
    44        await Mr. Rampton's cross-examination.  (To the witness):
    45        When you say there may have been occasions like Bank
    46        Holidays, I think when you were asked if you were paid
    47        overtime, what Ms. Steel means is something above the
    48        normal rate for normal shift, evening or premium shift,
    49        i.e. were you paid time and a quarter, time and a half or
    50        double time? 
    51        A.  I do not think so, no. 
    52 
    53   Q.   What was the reference to Bank Holidays?
    54        A.  I believe -- I just remember that there might have been
    55        a different rate to premium rate on Bank Holidays.  I just
    56        seem to remember something about that -- not very vividly,
    57        I am afraid.
    58
    59   MS. STEEL:  An extra rate that was higher than the premium rate?
    60        A.  I believe so, yes.

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