Day 002 - 29 Jun 94 - Page 06
1 whatsoever that show anybody handing out the fact sheet
complained of. You will later hear evidence that the fact
2 sheet was not used for general distribution on pickets,
and also that by the time the plaintiffs got around to
3 taking any action over this leaflet, which they consider
so highly defamatory, there are very few copies of the
4 leaflet left in existence, and, as is referred to in the
statement of some of the plaintiffs' spies, a new up-dated
5 publication on McDonald's practices was being prepared.
6 Yesterday, Mr. Rampton said that I had given an
interesting answer to the interrogatory concerning the
7 pickets on October 16th 1989. He said that in answer to
the question: "Did you not on that day hand out the
8 leaflet annexed hereto to members of public? If so, to
approximately how many people?" that I had answered:
9 "I cannot remember". In fact, that is not the whole
answer. I actually said: "I can't remember, but I do not
10 think so".
11 This is not an evasive answer. These interrogatories were
served in November 1992. That is three years after the
12 picket took place. I doubt very much whether many people
can remember exactly what they were doing three years
13 previously.
14 We have never denied handing out leaflets about
McDonald's. We have stated that since this action started
15 we have handed out leaflets. These were other updated
leaflets.
16
I want to move on to some of the issues now in the case
17 although, as I say, I am not going to go into any great
detail about them because Mr. Morris is going to be doing
18 that.
19 One of the most controversial issues which the plaintiffs
have denied for several years is the issue of
20 responsibility for rainforest destruction. They have
threatened legal action against numerous organisations and
21 eminent individuals over the rainforest issue, despite the
fact they do use beef from cattle reared on former
22 rainforests.
23 There is one matter, in particular, that I would like to
draw to the court's attention now. Yesterday, Mr. Rampton
24 stated on behalf of the plaintiffs that there is no room
for any suggestion that McDonald's, whether by accident or
25 design, whether in the United States or anywhere else in
the world, uses or ever has used beef from rainforest
26 countries. He drew your attention to a letter from
McDonald's head office in the USA to a Mr. Hooper in July
27 1982. I will read out part of the letter again that he
read yesterday:
28
"McDonald's has a long standing policy of buying all of
29 our products from suppliers in the host country where we
are doing business. This policy is designed to increase
30 the financial stability of the host country and to ensure
the freshest and highest quality products. As a result,