Day 246 - 09 May 96 - Page 55
1 by asking Mr. Preston about fresh matters or matters upon
2 which he has some fresh aspect to bring to the trial.
3
4 MR. MORRIS: Yes.
5 (Short adjournment)
6
7 MR. MORRIS: Coming on to recycling and related matters, if you
8 can get, please, volume 1 of the Defendants' witness
9 statements. It is the light greyish blue one at the top
10 there, I think. I am not sure if you have the same
11 volumes. They have been changed but somewhere near there
12 should be a section C, recycling and waste.
13 A. The cover sheet in this says "volume 1 nutrition: Cox,
14 Lobstein, Sally Bundy.
15
16 MR. JUSTICE BELL: It is pale blue 1B.
17
18 THE WITNESS: This one starts off: "Slaughter of animals,
19 recycling and waste".
20
21 MR. JUSTICE BELL: There is a section C and I think Mr. Morris
22 is going to refer you to a statement in there. Whose
23 statement is it, Mr. Morris?
24
25 MR. MORRIS: There are two actually: There is No. 2 in section
26 B and then I want to deal with No. 2 in section C as well.
27
28 MR. JUSTICE BELL: Which one first?
29
30 MR. MORRIS: I might as well do 2 in section B.
31
32 MR. JUSTICE BELL: Andrew Tyler?
33
34 MR. MORRIS: Yes. It is the second statement in there. It is
35 about the eighth page in in front of the Advertising
36 Standards Authority Report.
37 A. This is upside down.
38
39 Q. Right. Does it say "Supplementary Statement of Andrew
40 Tyler"? It should be about the fourth page from the back?
41 A. Andrew Tyler?
42
43 Q. It is just a supplementary statement.
44
45 MR. JUSTICE BELL: It is an individual statement like this and
46 it is a immediately before some ASA complaint findings in
47 the same form as the document you were asked to look at a
48 few minutes ago.
49
50 MR. MORRIS: Mr. Tyler is a witness of ours regarding this
51 statement. Can you read that to yourself and is that all
52 accurate as regards what you have told here?
53 A. OK, I have got it.
54
55 Q. It is not exactly dynamite but is that basically accurate
56 as far as ----
57 A. As much as I can remember. Certainly the first part,
58 the first paragraph and the second paragraph, are things I
59 would have said. Whether we in that discussion we talked
60 about everything in here and whether the woman
