Day 069 - 19 Dec 94 - Page 03
1 relevant.
2
3 MR. RAMPTON: My Lord, I would respectfully agree with those
4 comments of your Lordship's: it is not satisfactory. To
5 be fair to the people in Chicago, they were asked to see
6 what they had in their own offices. They were not
7 originally asked to seek out documents from suppliers.
8
9 As your Lordship will have seen from the trial bundles, we
10 have been able to do that to an extent in this country. It
11 was (and I am not really making excuses; I am reviewing the
12 history) only, I think, when Dr. Gomez Gonzalez was giving
13 evidence that he said he thought there were animal welfare
14 specifications or an animal welfare policy. It was in
15 consequence of that that a further enquiry was made while
16 he has been here, and the suppliers have come up with these
17 documents.
18
19 MR. JUSTICE BELL: Clearly, whether or not they take place
20 tomorrow and, perhaps, Wednesday, or they just crop up in
21 the future, there are going to be recurring discussions
22 (I will call them) about whether documents are available.
23 I do think it would be helpful if, for instance, you find
24 yourself in a position where documents, if they exist at
25 all, are in the possession of someone other than the First
26 or Second Plaintiff, it is found out whether they exist and
27 exist in a place where McDonald's had only got to ask and
28 they will be provided by whoever actually has them.
29
30 I am mindful of the fact (and I think this has happened on
31 both sides) that one cannot have total foresight, and it is
32 going to happen from time to time, and continue to happen,
33 that it is when a witness is in the box that the penny
34 drops, if may put it that way, and it is realised that
35 there may be a document which can be got hold of. I think
36 it is worth making that general comment in this case where
37 there may be a lot of relevant documents which are in the
38 possession, for instance, of suppliers with whom McDonald's
39 may not even have a formal contractual relationship, let
40 alone the legal power to say: "Surrender that document to
41 us so we can disclose it." But, as I have already said,
42 the reality is that if they ask it will come.
43
44 MR. RAMPTON: My Lord, I should say also -- again, in a sense,
45 it is against me -- I am looking now at the date of the
46 first of these documents which, though it comes from Pabst,
47 does appear to have been sent to McDonald's at Oak Brook in
48 November 1992. Since the document is favourable (if it is
49 favourable to anybody) to McDonald's, no suggestion can be
50 made that it has been sat on, but, clearly, when whoever it
51 was made a search for relevant documents in Oak Brook, this
52 one was not turned out -- perhaps because they did not look
53 in the right department, I do not know. But, plainly, it
54 should have been found at the time before the discovery in
55 this case was complete, and it was not. All I can say is
56 that that is regrettable, but there it is. It appears to
57 be what it says it is.
58
59 MR. JUSTICE BELL: Let us just see where we go. These documents
60 relate to the question of whether the First Plaintiff has