Day 267 - 21 Jun 96 - Page 06


     
     1
     2   MR. MORRIS:  (To the witness):  Do you want to draw a chair up?
     3        Please feel free to do so.  We are just sorting out
     4        administrative matters.
     5        A.   Sure.
     6
     7   Q.   I can just read the reference out anyway.  It should be
     8        with the -----
     9
    10   MR. JUSTICE BELL:   I suggest you start and we will deal with
    11        the reference.  Mr. Olive can borrow my copy if need be
    12        when we get to that.
    13
    14   MR. MORRIS:  Has he got the Logan statement with him as well?
    15
    16   MR. JUSTICE BELL:   Yes, he has got it open at the beginning of
    17        the Logan section, which is the letter referring to the
    18        Industrial Tribunal statement.
    19
    20   MR. MORRIS:  We will start off with your own document,
    21        Mr. Olive?
    22        A.   Yes, certainly.
    23
    24   Q.   We might as well start off with your statement of 24th
    25        January, 1996.  That was for the purposes of this case.
    26        Yes?
    27        A.   Yes.
    28
    29   Q.   Right.  I will read that out: "To whom it may concern:  I
    30        worked alongside Mr. Michael Logan as a shift running Floor
    31        Manager from October 1993 until his resignation, 9th
    32        November 1994.  I have read Mr. Logan's statement and I
    33        confirm that the unprofessional practices mentioned did
    34        occur.  I was not aware that time was docked from crew
    35        members' clock card files to reduce labour or that totals
    36        were patched with blue plasters.  I verify that the letter
    37        in Mr. Morris' possession" -- that is the one dated 19th
    38        April, yes?
    39        A.   Yes.
    40
    41   Q.   "... is a copy of the resignation letter that I presented
    42        to Mr. Paul Marriot at McDonald's, Southgate Street, Bath,
    43        on the 19th April, 1995.  A more detailed statement will be
    44        forthcoming."   That is your signature, is it?
    45        A.   That is correct.
    46
    47   Q.   That is all true, is it?
    48        A.   That is correct.
    49
    50   Q.   When you said you were referring to Mr. Logan's statements 
    51        -- if you just look at the Logan documents? 
    52        A.   Yes. 
    53
    54   Q.   Now, are you referring to the section that starts:
    55        "Employment"?
    56        A.   Yes.
    57
    58   Q.   And is about another, that is page 2 to 10?
    59        A.   Yes.
    60

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