27th April 2013 (incomplete) IN THE CARDIFF COUNTY COURT CASE NO.BS 614159-MC65 . CF101741 CF204141 BETWEEN: MAURICE JOHN KIRK Claimant and THE CHIEF CONSTABLE OF SOUTH WALES POLICE Defendant Claimant’s Revised Witnesses Statement The trial judge’s directions: “…identify (a) those witnesses (if any) whom the Defendant accepts to be witnesses who will or may be able to give material evidence (b) those witnesses (if any) whom they deny to be witnesses or who will or may be able to give material evidence (c) those witnesses (if any) in respect of whom they are not able without more information to express a view whether they are witnesses who will or may be able to give material evidence”. 1. Maurice Kirk to give evidence in all thirty odd incidents. Various Prosecution statements 2. Barbara Wilding was ex Chief Constable of South Wales Police during part of the material time and had responsibility for ‘a duty of care’, the production of Inspector Sydney Griffiths’ investigation into the Claimant’s numerous complaints, her February 2009 Affidavit and both covert and MAPPA level 3 surveillance of the Claimant and his associates. Defence Witness Statement 25th Feb 2009 3. Mr Burden was also a previous Chief Constable, during the material time, had similar responsibilities No defence statement Page 1 of 5 4. David Vaughan, current Chief Constable, had similar responsibilities No defence statement 5. Luigi Strinati, Delivery Director for HMCTS and his predecessors, inflicted serious difficulties on the Claimant, in the early part of this century, first by attempts to have the Claimant registered as a ‘vexatious litigant’, to block these proceedings, revealed in leaked HM Attorney General memos and then by causing the ‘loss’ of countless files lodged by the Claimant during the several years process of sending these and others backwards and forwards to HM Solicitor General’s offices in London. No statement 6. ‘Ms’ PS Watkins, Ex Stipendiary Magistrate Action1 para 8.9, Action 2 5.1 (speeding), Action 2 para 7.1 4th July (flying) . Action No statement 7. Josephine Caress, ex clerk to the court Barry Magistrates Action 1para 8.23,par 13.9, 2 &3 No statement believed to be the clerk of the court in Barry will state when, in Action 1 para 13.9, the CPS offered to alter a ‘fail to give breath test’ to a lesser charge of ‘obstruction’, in Action 1, para 8.23 (no insurance) is believed also to have been the clerk of the court when several covert surveillance police inadvertently identified themselves when giving evidence in several finally collapsed Barry magistrates hearings, was or knows who the clerk of the court was, when covert police in advertently had been identified by their photographs being used by the prosecution or Claimant in the ‘no insurance’ allegation whilst he was parking outside the RBS bank in Llantwit Street, Barry in May 1995. This led to yet another hearing that collapsed in chaos as the Claimant tried to chase after and arrest the perjuring individuals. [At about that time Kevin Fairman, as driver, alone, was stopped three times for police to serve HORT 1 traffic tickets, for him to produce at the Barry police station the relevant driving documents relating to whether or not the Guernsey registered van was indeed insured?] 8. Ms Jones ex clerk of the court Barry Magistrates (as alternative to Ms J Caress) No statement 9. Secular senior clerk to the Vale of Glamorgan Barry and Bridgend magistrates, if neither of the two above lady clerks presiding, the clerk for at least six of court hearings identified in the cause. No statement. Page 2 of 5 10. Christopher Paul Alexander, (Ebbs) Hintern Airfield, Banbury, attended court during this trial and was ‘not identified’, when put to him, that Inspector Andrew Rice, despite numerous police incidents involving an Inspector Rice of South Wales Police was at a meeting in the 90s in England with CPS present, concerning the changing of critical witness evidence used in a Bristol court. Defence Statement Witnesses number 11, 12 &13 were also at rice/Ebbs meeting at aust ferry Services, England. . 11. Jim Mackenna, CAA investigator, recently retired, CAA House, Kingsway No statement 12. DC Evans c/o South Wales Police HQ 13. No statement 14. DC Williams c/o South Wales Police HQ No statement 15. Rtd Inspector Shawn Trigg ( witness featured in numerous incidents) Action 2 para 8.1, 20th May 93, Action 1 8.13, Action 1 para 8.8 8th Aug 99 No Statement 16. Ex Sgt Hill (arrested by the Claimant over the Terrorism Act stopped Magistrates’s case before Stipendiary PS Watkins) 17. Sgt PS Warner c/o Barry Police Station No statement 18. Sgt Runnels (witness re history of surgery burglaries) Actions 1,2&3 No statement 19. Ex Bridgend Police Officer Phyl Davies was various knowledge Actions 1, 2 &3 No statement 20. D Graham (Claimant’s Secretary 1997 -2005) witnessed numerous court hearings and typed out many hundreds of documents relating to this case. Various prosecution statements 21. S Parry, (STOP ford Escort outside Claimant’s veterinary surgery/defective tyre 24th March 93) Action 8.5 Prosecution statement 22. Jane Walker, (Present in court when PC Kerslake gave evidence and overheard police ‘we will get the bastard’) Page 3 of 5 Prosecution statement 23. Michael Powell (Grand Avenue arrest of Claimant collecting BMW May 93) Action 1 para 8.6 Prosecution statement 24. Mrs J Hanson, (Paul Stringer House incidents) Action 1 para 8.2 etc Prosecution statement 25. Mr Thomas, Tynewydd Road (believed deceased) (Paul Sringer house incidents) Action 1 para 8.2 etc Prosecution statement 26. Mr Kirke (supplier of car tyres) Action 1 para 8.5 Limited statement 27. L Holland, Barry Claimant’s secretary circa 1993-7 (Paul Stinger house incidents) Action 1 para 8.2 etc Prosecution statement 28. J F Clode, (stolen BMW motor cycle Barry 16th Oct 93) Action 1para 8.13 Prosecution statement 29. G Thomas, (stolen BMW motorcycle 16th Oct 93) Action 1para 8.13 Prosecution statement 30. Nigel Hughes police motor cyclist (stolen BMW motorcycle 16th Oct 93) Action 1para 8.13 No statement 31. Mr Murphy (Scrap Dealer) The Old Police Station Barry removed several of claimant’s cars from back of his surgery or burnt out on the edge of town) Action 1 Prosecution statement 32. Antony Glen Gafael (Cardiff break into veterinary surgery 6th June 1995) Action 1 para 8.26 No statement 33. Kirstie Kirk, (ex wife of Claimant) Llantwit Major Actions 1,2&3 Various prosecution statements 34. A Turnbull (Cowbridge Incident 23rd May 02) Action 3 para 6.1 Page 4 of 5 Prosecution statement 35. Jonathan Clayton ATC (Flying Incident 4th July 99) Action 2 para 7.1 No statement 36. A Aishe, Pilot of a/c (flying Incident 4th July 99) Action 2 para 7.1 Prosecution statement 37. Crown Prosecutor Robert Mundy New Scotland Yard (Flying Incident) Action 2 para 7.1 4th July 99 No statement 38. Sue Jenkins, flying Instructor, (flying Incident 4th July 99) Action 2 para 7. Prosecution statement 39. Colin Jones (ex Superintendant dealing with Claimant numerous complaints in Actions 1, 2 &3). 40. No statement 41. Dawn Kenyon (Claimant’s insurance agent) (ALL stops, arson & thefts of Claimant’s vehicles) No statement 42. Kevin Fairman (driver of Claimant’s van/speed camera) Action 2 Para 5.1 Action 8.23 (Llantwitt St and thefts of Honda Van incidents May 95) Action 8.23 Limited prosecution statement 43. Inspector Steve Parry (Red Light Stop/Mouth Wash information) Action 1para 8.1 No statement 44. Anthony Holmes (father of PC Holmes and garage proprietor behind surgery) Action 1 para 8.5 Limited prosecution statement Maurice J Kirk BVSc 27th April 2013 Page 5 of 5