Day 118 - 01 May 95 - Page 28
1
2 Q. You would expect them to write down something would you
3 not?
4 A. Yes, they would have advise Payroll. Payroll would
5 tell them. I have no idea.
6
7 MR. MORRIS: If we look at some documents which were originally
8 disclosed but did not make the trial bundles. If we can
9 find it in the Plaintiffs' files. It will not be up there,
10 it will be the second supplementary list of documents
11 bundle 2.
12
13 MR. JUSTICE BELL: I have the one copy, I think, still up here.
14
15 MR. MORRIS: Is that numbers 23 to 28?
16
17 MR. JUSTICE BELL: Yes.
18
19 MR. RAMPTON: I believe it might be up there, my Lord, because
20 I think I showed it to Mr. Nicholson in-chief.
21
22 THE WITNESS: Yes, I have it.
23
24 MR. MORRIS: Does it say number 23 to 28 on the side?
25 A. Yes.
26
27 Q. If we look, the pages are not numbered, but it is the first
28 one, tab 23, if we turn to the second page we see there, do
29 we not, store by store in your region for 1993 fortnightly
30 hours calculations; is that correct?
31 A. Yes.
32
33 MR. JUSTICE BELL: When you refer to a figure, identify it as
34 best you can so it goes on the transcript as I do not have
35 a bundle.
36
37 MR. MORRIS: Yes. Actually, the pages, I notice, are numbered
38 in the top right-hand corner.
39
40 MR. JUSTICE BELL: Right. Identify the document as clearly as
41 you can so that it is on the transcript.
42
43 MR. MORRIS: It is the second page.
44
45 MR. JUSTICE BELL: It is the second page of tab 23.
46
47 THE WITNESS: Yes.
48
49 MR. MORRIS (To the witness): It is a document internal
50 No. 1 ---
51 A. Yes.
52
53 Q. -- from a printout?
54 A. Yes.
55
56 Q. If we look at the column 79 to 76 hours worked?
57 A. 79 to 96 hours worked.
58
59 Q. Sorry, 79 to 96?
60 A. Yes.
