Day 255 - 23 May 96 - Page 33


     
     1
     2   Q.   It is from Rugby?
     3        A.  Yes.  No, I am sorry, I cannot help you with that.
     4
     5   Q.   Right.  If you look at tab 45, it appears to be something
     6        called number 1.  It seems to be a music paper dated 9th
     7        June 1990.  Do you remember that one?
     8        A.  No.
     9
    10   Q.   It is again about Chrissie Hynde?
    11        A.  Yes.
    12
    13   Q.   We have finished with that bundle.
    14
    15        If you could get the counterclaim, the new counterclaim
    16        documents.
    17        A.  Can you give me some direction?
    18
    19   MR. JUSTICE BELL:  Just pause a moment.  Where did they go?
    20
    21   MR. RAMPTON:  My Lord, I do not even know what it is.
    22
    23   MS. STEEL:  I think they are in counterclaim volume 1, tab A, at
    24        the front.
    25        A.  Sorry, can you say that again?
    26
    27   MR. RAMPTON:  I think what Ms. Steel means are those notes.
    28
    29   MR. JUSTICE BELL:  Yes, that is right.  They went in at the very
    30        front.
    31
    32   MR. RAMPTON:  At the very beginning of volume No. 1.
    33
    34   MR. JUSTICE BELL:  Yes.  Have you got counterclaim one, please,
    35        Mr. Riley, white label.  At the very front of that, there
    36        should be something which starts in longhand "media
    37        briefing" after the index?
    38
    39   THE WITNESS:  Yes, I have it.
    40
    41   MS. STEEL:  Did you attend all the meetings to do with
    42        McDonald's putting out leaflets and press releases about
    43        this case?
    44        A.  No.
    45
    46   Q.   Did you attend most of them?
    47        A.  No.  I attended the first one where I set out the
    48        reasons for the case being taken and the steps I had taken
    49        to get us to where we were.  The rest were purely media
    50        matters.  I attended one where they circulated a draft 
    51        document on what they were going to hand out.  I think that 
    52        is all I attended.  Contact with the media has nothing at 
    53        all to do with me.
    54
    55   Q.   Right.  You checked the leaflet before it got published?
    56        A.  I saw it.  I was at the meeting where the first draft
    57        was discussed.
    58
    59   Q.   Right.  Did you raise any objections to anything in it?
    60        A.  No, I do not think so.

Prev Next Index