Day 195 - 04 Dec 95 - Page 70


     
     1
     2   MR. MORRIS:  Say, for example, March 26 and 27th you have
     3        specified a quarter of an hour time start?
     4        A.  Yes.
     5
     6   Q.   Does that mean that you would have started at -- does that
     7        mean you clocked in on those days or when you actually had
     8        to arrive?
     9        A.  You are talking about March 26th?
    10
    11   Q.   And 27th, for example.
    12        A.  27th.  It seems to me that 3.45 close is when I was
    13        expected to come in on 27th, but on 26th it is such an
    14        unusual shift I do not remember really whether it is
    15        actually the scheduled time or what I wrote down.
    16
    17   Q.   So 3.45 to close is very likely to be a 4 clocking in?
    18        A.  Oh, yes.  Most of the time it was written as 3.45 for 4
    19        night start.
    20
    21   Q.   That is quite a lot to say 4?
    22        A.  No, on the schedule on the wall it was written 3.45.
    23
    24   MS. STEEL:  In the store?
    25        A.  In the store in the back room.
    26
    27   MR. MORRIS:  Sorry, for that day when you would have arrived it
    28        says 3.45 to close?
    29        A.  I would have arrived at about 3.40 and started at
    30        4 o'clock, clocked in at 4 o'clock.
    31
    32   MS. STEEL:   But they were telling you that you had to arrive at
    33        3.45?
    34        A.  Yes.  You were scheduled for that time.
    35
    36   MR. MORRIS:  You started being paid from 4?
    37        A.  Yes, that is right.
    38
    39   Q.   Have you actually spoken to Simon Gibney at all in the last
    40        few months?
    41        A.  In the last few months, yes, I have.
    42
    43   Q.   Was that ----
    44        A.  On the phone, yes.
    45
    46   Q.   On the phone, but not before you wrote your statement?
    47        A.  Oh, no.  I mean, I have not seen, I have not talked to
    48        him, I have not talked to him until I saw his statement.
    49        He had written his statement before I talked to him and
    50        I had not seen him for about, well, since I had left 
    51        McDonald's until recently. 
    52 
    53   Q.   Have you spoken to -- did you speak to any of the other
    54        witnesses in this case before you wrote your statements?
    55        A.  No.
    56
    57   Q.   Obviously your last statement was April 1994?
    58        A.  My last statement.
    59
    60   Q.   Had you spoken to any of the other witnesses before you

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