Day 067 - 15 Dec 94 - Page 65
1 than 20 you said?
2 A. Around that figure, around 20, I do not have an exact
3 figure.
4
5 Q. They would be evenly spaced throughout that time? Would
6 they be annual documents or statements or what?
7 A. I would like to, if I may, refer that question to
8 Mr. Ray Cesca. He is the owner of those documents. He
9 will be better when he comes here, you will know all the
10 details that you want.
11
12 MR. JUSTICE BELL: May be. The first thing is if you cannot
13 remember whether they were more or less yearly or how
14 spaced they were, you are perfectly entitled to say that.
15 If you have any recollection, it would obviously be helpful
16 to give it, but if you cannot remember, say so?
17 A. I remember that they seem to be a yearly requirement
18 but it goes back to the way we operate. If there is a need
19 to have it every six months or every three years, we will
20 certainly do that. The documents that I remember, I do not
21 recall seeing two documents within the same year. I have
22 seen probably I said around 20 documents. I did not see
23 they were the same and I did not say they were the same
24 documents, so there is not a misunderstanding that they had
25 to go back 20 years.
26
27 MR. MORRIS: So some of the documents go back to the end of
28 mid-70s that you saw?
29 A. No. I have not seen any documents that go back as far
30 as the mid-70s. I said documents up to 10 years ago.
31
32 Q. These 20, or whatever it is, documents that you have seen,
33 they are all from Coope Montecillos, are they?
34 A. Most of them, yes.
35
36 Q. Who else would they be from?
37 A. From the other supplier that we are currently
38 developing.
39
40 Q. But they would be only very recent things, yes?
41 A. That would be throughout this year only, that is
42 correct.
43
44 Q. So the vast majority of them are from Coope Montecillos?
45 A. That is correct.
46
47 MR. JUSTICE BELL: Do you want to pause there? I am not
48 suggesting that you have necessarily finished with Coope
49 Montecillos. I am suggesting we break off there for the
50 afternoon, unless there are questions you feel you must ask
51 this evening while you are on it. There is one question
52 I want to ask. I will ask it and then you can think about
53 whether you would like to break off now. (To the witness):
54 When you referred to the documents, the Coope Montecillos
55 documents, they were ones actually in Costa Rica, were
56 they?
57 A. That is correct.
58
59 Q. At Coope Montecillos?
60 A. No, not necessarily. Part of -- some of them, yes.
