Day 209 - 25 Jan 96 - Page 76
1 A. So '93.
2
3 Q. -- perhaps my questions are not clear. What I want to know
4 is, do you assert that he was treated badly by scheduling,
5 never mind other years, in 1993/94?
6 A. Yes.
7
8 Q. Thank you. Mr. Picking you can forget about because I have
9 no documents for him. Jane Girdlestone, I believe what you
10 told us is simply this, that she got too many weekends and
11 too many closes; is that right?
12 A. Yes, that is what she said to me.
13
14 Q. That is what she said to you, and 1994 is the year for
15 that?
16 A. Yes.
17
18 Q. Thank you. Mr. Shakespeare, unsocial hours in 1993ish.
19 Can we take it that you include 1993 now, or not?
20 A. Sorry, could you repeat that?
21
22 Q. Do you actually mean 1993 or might you mean 1992 or 1994?
23 A. I think 1993 but, again, I am just, you know .....
24
25 Q. She was still there in 1994. Do you make the same
26 assertion in relation to that year, do you think?
27 A. Pardon?
28
29 Q. Do you think you make the same assertion in relation to
30 1994? She was still there in 1994?
31 A. You are talking about Jane Jennard or Andy
32 Shakespeare?
33
34 Q. I am so sorry -----
35
36 MR. JUSTICE BELL: I thought you went to Andy Shakespeare.
37
38 MR. RAMPTON: It is terribly confusing, I do apologise. My eye
39 jumped. 1993; no, he had gone by '94, so 1993 certainly?
40 A. Yes.
41
42 Q. Is that right? Leave out Danny Olive because it looks as
43 though he may be a witness, so we do not need to worry
44 about him. Jason Dixon, is this something you say is a
45 mistreatment or merely something that he did?
46 A. No, it was just a comment because I was asked whether
47 he did very long hours, who did very long hours, and I said
48 Jason Dixon did.
49
50 Q. You need not worry about Mr. Chris Cox because he has
51 already given evidence. He can speak for himself and we
52 know what you say about yourself. Mr. Perret, whom
53 I expect you remember, has also given evidence so do not
54 worry about him. Matt Williams I would like to know a
55 little more about. Are you saying that everything that
56 applied to you also applied to Matt Williams?
57 A. When we were crew members?
58
59 Q. Yes.
60 A. It applied to -- we both did very similar shifts,
