Day 002 - 29 Jun 94 - Page 08
1 may have mistakenly been disclosed, since we did get a
letter from the plaintiffs asking us to hand some
2 documents back. However, we understand that once they
have disclosed documents, they waive their right to
3 privilege which is quite helpful because it is a very
revealing document.
4
MR. RAMPTON: That is not a privileged document.
5
MISS STEEL: It is stated in this letter that meat comes from a
6 vesty company through their UK agents, W. Wedal and
Company, and refers to a letter from Vesties dated 6th
7 June 1983. We asked McDonald's to disclose that letter
but they have refused do so. This document is a direct
8 contradiction of the claim by the plaintiffs that there is
no room for any suggestion that McDonald's in the United
9 States or anywhere else in the world uses, or ever has
used, beef from rainforest countries.
10
They forced the BBC, amongst many others, to give an
11 apology which was false, which would mislead the public
about McDonald's responsibility for rainforest
12 destruction. I dare say that if we had sufficient
resources to fly around the world to take statements and
13 gather other documents that there would actually be a
great deal more evidence to show that McDonald's have lied
14 continually to the public over this issue.
15 We have further evidence in this area which, as I say,
I think Mr. Morris will go into.
16
I will move on to packaging now. We are being sued for
17 saying that McDonald's only used a tiny percentage of
recycled paper in their packaging. Mr. Rampton told the
18 court yesterday that in the United States of America 50
per cent of their paper packaging was made from recycled
19 paper. Of course, he did not tell the court what
percentage was used world-wide. More importantly, he did
20 not tell the court that in 1989, which is more relevant as
it is the time of the alleged libel, in the USA, which was
21 the most advanced country in terms of their recycling
policies, they were using paper packaging containing only
22 7 per cent recycled paper.
23 On the issue of packaging the plaintiffs have continually
focused on the situation as it is now instead of the
24 situation as it was at the time of the alleged libel. We
will invite the court at a later stage to take the view
25 that the changes McDonald's have made were in response to
campaigns by groups such as London Greenpeace.
26
I am going on to nutrition now. Yesterday it was said in
27 court that the plaintiffs' experts were going to say that
it was irresponsible to link cancer with diet. I want to
28 ask the plaintiffs whether they are saying does that mean
they consider that the Health Education Authority and the
29 Cancer Education Co-ordinating Group of the UK are
irresponsible? Or even McDonald's themselves? Our
30 experts refer to the publications of the Health Education
Authority. That is this document called: "Can you avoid