Day 037 - 14 Oct 94 - Page 72


     
     1   Q.   Yes.
     2        A.  No, I did not say that.
     3
     4   Q.   Is it your view that carnivores, whether they be blood
     5        soaked or not, have small brains, less capable of adaptive
     6        behaviour?
     7        A.  This is a characteristic that I think you will find
     8        that the author of this piece, David Thomas, has picked up
     9        from -- perhaps you can refer me to the page?
    10
    11   Q.   No.
    12
    13   MR. JUSTICE BELL:  Just listen to the question again, Mr. Cox.
    14        Ask the question again.
    15
    16   MR. RAMPTON:  Is it your view that carnivores have small brains
    17        less capable of adaptive behaviour, whatever that may be?
    18        A.  I have to answer that by saying probably.
    19
    20   Q.   Probably?
    21        A.  Yes.
    22
    23   Q.   I hope -----
    24        A.  With some exceptions.
    25
    26   Q.   I hope that you have one of the papers which you refer to
    27        in your second statement in this case, your supplementary
    28        statement, which, my Lord, is the reference No. 2, an
    29        article called:  "Sweet and low diet can affect learning",
    30        from what I take to be an American Journal in November
    31        1980.  Do you know the paper to which I am referring?
    32        A.  I do not have it in front of me.
    33
    34   Q.   Perhaps he could be provided with it?  It is in the pale
    35        green volume No. 1, the Defendants' expert references,
    36        Nutrition.
    37
    38   MR. JUSTICE BELL:  The reference again?
    39
    40   MR. RAMPTON:  It is volume 1 of the Defendants' experts
    41        references, section 3, reference 2 to Mr. Cox's second
    42        statement.
    43        A.  I need to have a copy of that, please.
    44
    45   Q.   Pardon?
    46        A.  Can I have a copy of that?
    47
    48   Q.   A copy of what?
    49        A.  My second statement.
    50 
    51   Q.   Yes.  Have you got your own witness statement up there 
    52        with? 
    53        A.  I have my first statement, but there are so many
    54        papers accumulated here, I have not got my second one.
    55        (Handed).
    56
    57   Q.   Mr. Cox, I believe I am right in thinking that you will
    58        not find in your list of references or in the text of your
    59        second statement any direct reference to the part of the
    60        article I am going to refer to, but please do finish

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