Day 212 - 30 01 96 - Page 60


 
 

                                                                  DAY 212
 
                                             KIM MOFFATT, Cross-examined:
 
 
 
     1        A.  They are not scheduled hours.  They are, you know, if
     2        someone said:  "Can I stay on tonight?" or, you know, they
     3        are extra hours.  They are not -- I do not mean -----
     4
     5   Q.   But what is the concern about working more than 20 if you
     6        are part-time?
     7        A.  What, for the individual?
     8
     9   Q.   Yes -- no, from McDonald's point of view, so that they have
    10        a print-out of excess hours in relation to part-timers?
    11        A.  Well, obviously, I do not really -- I just monitor it.
    12        I do not know the exact, you know, I just know that
    13        obviously if a part-timer is doing 40 hours a week that
    14        there is something wrong.
    15
    16   MR. JUSTICE BELL:  I understand that.  Mr. Morris, if you think
    17        you know the reason, I suggest you put it.
    18
    19   MR. MORRIS:  Do you know anything about you get greater rights
    20        when you work more than 20 hours in terms of rights not to
    21        be unfairly dismissed and things like that?
    22        A.  I do not really understand what you are saying.
    23
    24   Q.   It does not matter.  No doubt it is one thing the
    25        Plaintiffs know about.
    26
    27   MS. STEEL:   While you were at the store did the store have any
    28        Head Office audits?
    29        A.  I think they had one to when I first got there, within
    30        about a month when I first got there at Heathrow.
    31
    32   Q.   Then you do not remember any after that?
    33        A.  Well, they have Head Office as in personnel; they would
    34        also have an Area Admin that works for and was Supervisor
    35        then it was, or an Ops consultant, and they work half in
    36        Head Office and half in store, so I do not know if you mean
    37        them as well?
    38
    39   Q.   Yes, including those ones as well, but not ones that were
    40        undertaken by, you know, somebody in the store?
    41        A.  Right, yes, we did, yes.
    42
    43   Q.   How often would they happen?
    44        A.  I would say about once every three months.
    45
    46   Q.   So far as, sort of, personnel and things like that were
    47        concerned, what sort of grades was the store getting?
    48        A.  I think it probably on an average was B, B minus.
    49
    50   Q.   Right.  Was that throughout the time that you were there, 
    51        that the store was getting those grades? 
    52        A.  Yes. 
    53
    54   Q.   It did not, kind of, vary significantly?
    55        A.  When I first got there, I cannot remember what the
    56        grade was within, sort of, we had one from Head Office,
    57        I cannot remember what that one was, but, as far as I can
    58        remember, while I was there they were, sort of, B.
    59
    60   Q.   This morning Mr. Rampton was asking you some questions
 
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