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You are here: BAILII >> Databases >> England and Wales High Court (Commercial Court) Decisions >> Volkswagen AG & Ors v MOL (Europe Africa) Ltd & Ors [2022] EWHC 2350 (Comm) (14 July 2022) URL: http://www.bailii.org/ew/cases/EWHC/Comm/2022/2350.html Cite as: [2022] EWHC 2350 (Comm) |
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BUSINESS AND PROPERTY COURTS OF ENGLAND AND WALES
COMMERCIAL COURT
7 Rolls Buildings Fetter Lane London EC4A 1NL |
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B e f o r e :
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(1) VOLKSWAGEN AG AND OTHERS |
Claimants |
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- and - |
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(1) MOL (EUROPE AFRICA) LTD (2) WALLENIUSREDERIERNA AKTIEBOLAG (3) WALLENIUS WILHELMSEN ASA (4) WALLENIUS LOGISTICS AB (5) WILHELMSEN SHIPS HOLDING MALTA LTD (6) WALLENIUS WILHELMSEN OCEAN AS (7) "K"-LINE HOLDING (EUROPE) LIMITED (8) "K"-LINE (EUROPE) LIMITED (9) KAWASAKI KISEN KAISHA, LTD - and - NIPPON YUSEN KABUSHIKI KAISH |
Defendants Third Party |
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2nd Floor, Quality House, 6-9 Quality Court, Chancery Lane, London WC2A 1HP.
Telephone No: 020 7067 2900. DX 410 LDE
Email: [email protected]
Web: www.martenwalshcherer.com
MR. DAVID BAILEY (instructed by Arnold & Porter Kaye Scholer (UK) LLP) for the 1st Defendant
MR. TONY SINGLA QC (instructed by Cleary Gottlieb Steen & Hamilton LLP) for the 7th to 9th Defendants
MR. DANIEL PICCININ (instructed by Steptoe & Johnson LLP) for the Third Party (the Part 20 Defendant
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Crown Copyright ©
MR. JUSTICE PICKEN:
10. My attention in this context has been drawn to Practice Direction 31(c) "Disclosure and inspection of evidence in relation to a competition claim", specifically paragraphs 1.4 and 1.5. The former is in these terms:
"1.4 The application must include a description of the evidence that is sought that is as precise and narrow as possible on the basis of the reasoned justification."
Paragraph 1.5, more pertinently given Mr. Piccinin's objections, reads as follows:
"1.5 The court may only permit disclosure or inspection that is proportionate."
"As such there is a more or less inevitable nexus between the workings of the cartel and the overcharge that the purchasers subsequently may seek to recover."
Mr. Piccinin suggests that this is a reference to (and only a reference to) damages rather than anything concerned with liability. I am not overly convinced by that observation. It seems to me that that sentence and the sentences which precede it do have as their focus at least liability to an extent and that it is not entirely correct to suppose that Green J in the Peugeot case was only talking about relevance of the workings of the cartel in relation to damages as opposed to liability.