Day 084 - 07 Feb 95 - Page 25


     
     1        the restaurant; is that right?
     2        A.  Welfare as in health and safety.
     3
     4   Q.   Yes, I understand that.  I was not extending it to social
     5        considerations.  In those areas does McDonald's train its
     6        staff?
     7        A.  Yes.
     8
     9   Q.   This is a bit of an idiot question, forgive me, how
    10        thoroughly does McDonald's train its staff in those two
    11        separate areas, food safety and employee health and safety?
    12        A.  Extremely thoroughly.
    13
    14   Q.   Have you read and digested the contents of David Wignall's
    15        statement that was made for this case?
    16        A.  I have.
    17
    18   Q.   Aside from three comments which you have made upon it in
    19        the statement which you have made (which we will deal with
    20        briefly in a moment) are you satisfied that its contents
    21        are accurate?
    22        A.  I am satisfied they are.
    23
    24   Q.   Is there any respect in which you think it needs to be
    25        added to or in which it needs to be amended apart from
    26        those three respects which I have mentioned?
    27        A.  I do not think so.
    28
    29   Q.   How well by now do you think that you understand McDonald's
    30        operation as it affects food safety and the health and
    31        safety of the workers?
    32        A.  I think I have a good understanding of that.
    33
    34   Q.   Can we briefly mention those three?  My Lord, they are
    35        paragraphs 4, 5 and 6 of Mr. Atherton's statement which is
    36        signed on 28th January of this year, although I think it is
    37        dated 1994.  That is a common error.  The first one, my
    38        Lord, relates to paragraph 66 of David Wignall's statement.
    39
    40   MR. JUSTICE BELL:  Yes.
    41
    42   MR. RAMPTON:  I will come back to that, if I may, more
    43        specifically in a moment.  The second one relates to
    44        paragraph 82.  (To the witness):  I tell you this,
    45        Mr. Atherton, in paragraph 82 of his statement Mr. Wignall
    46        had referred to the training of crew members on the
    47        intermediate operations course.  You say that is not right,
    48        it should refer to the training of managers on that
    49        particular course?
    50        A.  That is correct, yes. 
    51 
    52   Q.   That is right.  In paragraph 87 he has given a number of 
    53        examples of the training for management skills.  You have
    54        added "which you had introduced a two day team building
    55        seminar about 18 months ago which all managers attend"?
    56        A.  I did not personally introduce it, but it was
    57        introduced.
    58
    59   Q.   I say "you", I am sorry.  Sometimes I say "you" when I
    60        mean McDonald's.  Forgive me.

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