Day 087 - 10 Feb 95 - Page 05
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2 MR. MORRIS: Mr. Rampton suggested a place to put it; I did not
3 catch it. It is on the transcript. Mr. Rampton suggested
4 a place to put the Anne Link statement.
5
6 MR. JUSTICE BELL: I put it behind Mr. Hopkins so it is your
7 volume 1B in section C and it is tab 5, Mr. Hopkins being
8 tab 4.
9
10 MR. MORRIS: Right. There was just one other document, I do not
11 know, you received the copies of the letters that we faxed
12 to the court. It was administrative matters about
13 time-tabling and documentation. I do not know if you
14 wanted a photocopy or whether the copies you got were
15 adequate?
16
17 MR. JUSTICE BELL: Unless there is something completely new,
18 they were in that clip of additional papers to be added to
19 the correspondence bundle which Mrs. Brinley-Codd prepared.
20
21 MR. MORRIS: I think that is all on service of documents. This
22 may be a good time to talk about going back to our list of
23 legal matters. The Civil Evidence Act Notices that we have
24 put on the Preston report and Clark's statement. I am not
25 sure, did we put -- I cannot remember now whether we
26 formally stated that we wanted to Civil Evidence Act Notice
27 on the Oregon -----
28
29 MR. JUSTICE BELL: You referred to an American report and you
30 said you wanted to put a Civil Evidence Act Notice on that,
31 Report of the Federal Centre for Communicable Diseases,
32 which you said were documents 23 and 25 of your second
33 supplementary list.
34
35 MR. MORRIS: Yes. I do not know whether, because I believe
36 Mr. Rampton or the Plaintiffs removed the Preston report,
37 you have a copy now at all of that one?
38
39 MR. JUSTICE BELL: I have a copy of the Preston report. I could
40 not find it immediately yesterday but I have it again now.
41 Whether I have a copy of the American report, I do not
42 know. Someone will have to give me a bundle reference if
43 it is suggested it is in the bundle and I will look for it.
44
45 MS. STEEL: It is 25 of the second supplementary list.
46
47 MR. JUSTICE BELL: Yes, but that does not help me as to whether
48 it is in a bundle, you see?
49
50 MS. STEEL: To be honest, I do not know that our bundle are
51 labelled the same as yours. We have only got the original
52 list of documents.
53
54 MR. JUSTICE BELL: I have got various bundles labelled
55 Defendants' list of documents. Then I have another set
56 labelled Defendants' supplementary list of documents. I do
57 not have any bundle labelled Defendants' second
58 supplementary list of documents. It does not mean to say I
59 do not have them somewhere, but I am not going to open
60 several thousand pages of bundles and start looking for