Day 010 - 11 Jul 94 - Page 25


     
     1        not the blowing agent in particular.  That was just one
              component of the product.
     2
              So, to reiterate, we did not really work with the
     3        Environmental Defense Fund.  In fact, we were critical of
              them for engaging in this activity.
     4
              Subsequent to that, we contacted them following the
     5        publication of the Washington Post article and asked them
              to explain what they had actually been engaging in, and
     6        they responded.  Those organisations wrote us letters and
              responded.  They described their ideas engaging in this
     7        press conference to announce the phasing out of CFCs.
 
     8   Q.   I am sorry.  I just apologise to the court.  I think you
              will have to bear with us on the documents side.  Is there
     9        not a letter from EDF about how the industry used
              their ----
    10        A.  The letter in question is from David Doneger.
 
    11   Q.   Have you got it?
              A.  It is in the back of the collection.
    12
         Q.   Tell us what the name of the document is?
    13        A.  It is "McTruth, a Reply".
 
    14   Q.   Is that the name of the whole document?  What has the
              front page of the whole document got on it?
    15        A.  The front page is letters.
 
    16   Q.   Just read more details out.  Could you show me what it
              is?  Just show it to me, please?
    17        A.  (Shown).  Underneath it says "McChange".
 
    18   MR. JUSTICE BELL:  We have 12 bundles altogether.  Do you know
              which of those it is in?
    19
         MR. MORRIS:  Unfortunately, Mr. Lipsett's set is in a different
    20        order.
 
    21   MISS STEEL:  It is actually in our disclosed documents.
 
    22   MR. MORRIS:  We have to go to the defendants' disclosed
              documents.
    23
         MISS STEEL:  Document No. 46.
    24
         MR. MORRIS:  No. 46.  Defendants' document 46 which you should
    25        have in the bundles.
  
    26   MR. JUSTICE BELL:  Yes.  Mr. Atkinson is trying to track it 
              down. 
    27
         MR. MORRIS:  Do you not have the defendants' documents?
    28
         MR. JUSTICE BELL:  Yes, I do but I have quite a lot of bundles.
    29
         MR. MORRIS:  It is the twelfth page of 46 -- it is numbered 14
    30        at the bottom.
 

Prev Next Index