Day 057 - 29 Nov 94 - Page 30


     
     1        actually knowing whether the Plaintiffs have a copy in
     2        fact.  I can see that it is some time ago.  It may very
     3        well be that the First Plaintiffs do not have a copy but
     4        they may have.
     5
     6   MR. RAMPTON:  They may have.
     7
     8   MR. MORRIS:  It is possible that if they do not have the actual
     9        survey, they may have the reference to the survey as well.
    10        They may, in fact, have quoted it in some of their own
    11        material, press releases, and whatever.
    12
    13   MR. JUSTICE BELL:  All I will say at this stage is that
    14        enquiries should be made to see whether a copy of the
    15        survey by whatever means is available.
    16
    17   MR. MORRIS:  Is it possible just to include also if there is any
    18        reference to the results of that survey in their own
    19        documents?
    20
    21   MR. JUSTICE BELL:  I do not think so because, quite frankly,
    22        that might for all I know involve reading a million letters
    23        to see whether one of them referred to the survey.  In any
    24        event, to be of any real use, we probably need the survey.
    25        Let us see what the primary enquiry reveals, if anything.
    26
    27   MR. MORRIS:  The next one is the Spanish Consumers' Association
    28        Report and dispute.  Now, this is -----
    29
    30   MR. RAMPTON:  My Lord, again the relevance does not have to be
    31        discussed.  There does not have to be an application.  The
    32        documents have now been received from Spain and will when
    33        Mr. Hill gets back -- he is away this week -- be part of a
    34        further and better list of documents.
    35
    36   MS. STEEL:   Just in relation to Professor Wheelock, you may
    37        remember that Mr. Rampton asked him some questions about
    38        some information that was in the back of one of their
    39        annual reports.  At the time we did say that if any
    40        reliance was going to be placed on those charts in the back
    41        that we ought to have background information about ---
    42
    43   MR. JUSTICE BELL:  Can you identify it?
    44
    45   MS. STEEL:  -- nutritional value.  On what day it happened?
    46
    47   MR. JUSTICE BELL:  Yes, or where it was, where the chart was.
    48
    49   MS. STEEL:  I am pretty sure it was in the back of -----
    50 
    51   MR. JUSTICE BELL:  Of his documents or in his statements? 
    52 
    53   MS. STEEL:  McDonald's profile, I think.  I think it was the
    54        1993 Annual Report, something like that, or ----
    55
    56   MR. MORRIS:  It was the one that had breakfast, lunch and dinner
    57        or something.
    58
    59   MR. JUSTICE BELL:  In tab 5.
    60

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