Day 209 - 25 Jan 96 - Page 42


     
     1        seen by Michael Logan"?
     2        A.  Yes.
     3
     4   Q.   "Jason Dixon, 1994, very long hours, often unsocial, no
     5        overtime paid.  Chris Cox 1994/1995 (now Floor Manager?),
     6        some very long shifts.  M. Logan himself", that is you,
     7         "late PRs, not timed for proper breaks, will be shown on
     8        clock cards.  Also, he did 60 to 70 hour weeks in 1990 or
     9        1991; the same for Matt Williams".  "The same for Matt
    10        Williams", that is about the long hours, is it?
    11        A.  Yes, yes.  He was -- as I said earlier, he was the clap
    12        I used to, we were quite good friends, and we used to do
    13        six day weeks.  We used to do six days on and one day off
    14        and we both used to do 12.00 closes every day.
    15
    16   Q.   "Kevin Perret, late PRs.  Shelley Smith, late PRs,
    17        1994ish.  Jagon Flint, PR problem 1994ish, Matthew
    18        Tilley"  -----
    19        A.  This date, I am not sure about 1994ish.  Jagon Flint,
    20        he had problems with his PRs for a long period of time but
    21        I assume it would be between 92 and 94, I suppose.
    22
    23   Q.   "Matthew Tilley, PR problem"?
    24        A.  Yes.
    25
    26   Q.   "Head Office store audit, critical of Bath PR practices
    27        (scored F), and memo sent to Bath on this subject.
    28        Critical of other practices.  Temperate log of in-kitchen
    29        freezers would show not reaching correct temperatures.
    30        Mike Logan made his complaints to the Employment Office on
    31        resigning.  This was discussed by the EO with McDonald's
    32        and not challenged.  Complained of the practices as said in
    33        his statement, including scheduling, understaffing, food
    34        hygienes, safety, integrity matters".  I submitted those
    35        notes on 2nd October 1995.  Would you accept them with your
    36        amendments and clarifications as generally accurate?
    37        A.  Yes, yes.  It is very difficult to say because we were
    38        on the phone so I am trying to remember what was said and
    39        what my memory is.
    40
    41   MR. JUSTICE BELL:  I am not so much concerned as to whether you
    42        can remember whether that is just what you said to
    43        Mr. Morris, but whether there is anything noted there which
    44        does not accord with your recollection now?
    45        A.  With my recollection, right.
    46
    47   Q.   I mean, you have corrected, for instance, 1994ish to 1992
    48        to 1994 as an example.
    49        A.  Yes.
    50 
    51   Q.   What I am going to do now is adjourn until 2 o'clock. 
    52        A.  I would agree with what I have written there, I think. 
    53
    54   Q.   You would agree?
    55        A.  Yes, I think I would.
    56
    57   MR. MORRIS:  Can I say, is the court concerned about the
    58        accuracy of the years mentioned, obviously someone has put
    59         "ish"?
    60        A.  It is like, you know, I had forgotten that I had

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