Day 237 - 18 04 96 - Page 50
1 certainly one there.
2
3 Q. It is capable of pointing at the demonstration?
4 A. I think actually it is pointing down the entrance to
5 the garage to just make sure which vehicles come in.
6
7 Q. It is capable of pointing at the demonstration anyway, is
8 it?
9 A. If it is one of the movable ones -- I think it might
10 be but I am not certain -- it is based there principally to
11 ensure that the vehicles that come in are the right ones.
12
13 Q. But, I mean, the vehicles come up the ramp towards the
14 road, do they not?
15 A. Yes.
16
17 Q. So it is actually pointing in this direction?
18 A. It is pointing in the direction of the road, yes, I
19 accept that.
20
21 Q. So it is quite capable of seeing the people standing on
22 that corner?
23 A. Well, it is, yes, but they would be quite far away
24 from it.
25
26 Q. Yes, OK. I just wanted to clarify that:
27
28 MS. STEEL: The counterclaim documents -- I am probably not
29 going to ask you any more questions about those two files
30 -- counterclaim bundle, volume I?
31 A. This one?
32
33 Q. Presumably ------
34 A. Yes.
35
36 MR. JUSTICE BELL: Could you just pause a moment because I am
37 not quite sure where mine is. (Pause)
38
39 MS. STEEL: Sorry.
40
41 MR. JUSTICE BELL: Yes.
42
43 MS. STEEL: In tab 13 this is a briefing document for
44 franchisees and restaurant management concerning the
45 starting of this trial as it was due to start then on
46 18th April 1994. In the very last paragraph of this
47 document it says: "Supporters of London Greenpeace may
48 arrange demonstrations outside some restaurants/offices.
49 You should already have received advice" -----
50
51 MR. JUSTICE BELL: I am sorry, where are you?
52
53 MS. STEEL: The very last paragraph of tab 13.
54
55 MR. JUSTICE BELL: I am being very slow. That reads: "If you
56 have any questions on this case please" -----
57
58 MS. STEEL: Very well. I would not call that paragraph because
59 it is only one line.
60
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