Day 043 - 01 Nov 94 - Page 06


     
     1
     2   MR. JUSTICE BELL:  That is another consideration.  If what is
     3        being asked is, if this is going to be put, it is only fair
     4        to give the witness time to make an enquiry to answer it,
     5        then I understand.  I thought you were objecting to it
     6        being put at all.
     7
     8   MR. RAMPTON:  No, no, not at all.  If this, as I call it,
     9        extension to or supplementary witness statement by Sue Dibb
    10        had been served at the proper time when these materials
    11        were generated, which I think was more or less in June of
    12        this year, then we should certainly have been expected to
    13        be in a position to deal with the factual matters which
    14        they raise.  As it is, we are not.
    15
    16   MS. STEEL:  I am getting fed up with Mr. Rampton saying that we
    17        should have served things earlier.  I do not know whether
    18        you remember, but in December last year we made an
    19        application for more documents about nutrition.  Now,
    20        nothing further was -- well, I think there might have been
    21        two further documents that were served.  Then, this summer,
    22        after quite a few of their witnesses on nutrition had
    23        already been heard, we were served a whole new bundle of
    24        nutrition documents.  I really do not think they are in any
    25        position to complain and criticise us, because we have not
    26        got the resources, whereas they have.  If they cannot
    27        manage to do things on time, then why should we be expected
    28        to?
    29
    30   MR. JUSTICE BELL:  I understand that, but whichever side the
    31        documents come from, if they come other than according to
    32        the usual practice, which is service well before the trial,
    33        it is right that the party upon whom they are served has
    34        time to consider them and if, for instance, they are
    35        disputed, prepare themselves with a reply to them.  That
    36        rule will apply -- I say "rule" -- that response by me will
    37        apply to you if documents are served on you which you need
    38        to prepare upon.  Obviously, people have to prepare
    39        themselves as quickly as possible, because everyone wants
    40        to get on with the case insofar as it is practicable to do
    41        so, and I must rely on both sides -- and I mean both sides
    42         -- not to just use it as an opportunity for making a
    43        stand, by saying:  "Now it is going to take X days to get
    44        ready for this."  I must rely upon everyone's good faith in
    45        that regard.
    46
    47         Mr. Hawkes, you go about your other business now.  Make
    48        sure that you have some means of communications with
    49        Mrs. Brinley-Codd or Mr. Hill later in the day.
    50 
    51   MR. MORRIS:  Shall I serve the documents I have? 
    52 
    53   MR. JUSTICE BELL:  Have you bundles ready for everyone?
    54
    55   MR. MORRIS:  Yes.  The first thing is that there were copies of
    56        the National Food Alliance Report, Responsible Food
    57        Advertising, which I served yesterday.  There is a copy for
    58        the judge and a copy for the witness box.
    59
    60   MR. JUSTICE BELL:  Where do you suggest that goes?

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