CHANCERY DIVISION
Strand London WC2A 2LL |
||
B e f o r e :
sitting as a Judge of the High Court
____________________
EXCEPTION VAR LIMITED | ||
EXCEPTION VAR GROUP LIMITED | Applicants/Claimants | |
- and - | ||
(1) HOWARD GOFF | ||
(2) ANDREW STEELE | ||
(3) ANN HARWOOD | ||
(4) STEVE STREVENS | ||
(5) CHRISTOPHER NUTTALL | ||
(6) CELINE NUTTALL | ||
(7) SONIA BRUNSDON | ||
(8) MARK SYKES | ||
(9) NCAB GROUP UK LIMITED | ||
(10) NCAB HOLDINGS AB | ||
(11) HANS LENNART STAHL | ||
(12) ANDERS ERIK FORSEN | ||
(13) HELEN BICKNELL | Respondents/Defendants |
____________________
101 Finsbury Pavement London EC2A 1ER
Tel No: 020 7422 6131 Fax No: 020 7422 6134
Web: www.merrillcorp.com/mls Email: mlstape@merrillcorp.com
(Official Shorthand Writers to the Court)
MR P MOSER and MR O DRAPER (instructed by Davenport Lyons) appeared on behalf of the Defendants
____________________
Crown Copyright ©
"Mr Goff was the Managing Director of Exception VAR and a Director on the Board of Directors of that company. There is now evidence that he was at the heart of a conspiracy to transfer key employees, confidential information and the business of Exception VAR to a new UK based business for one of Exception VAR's main competitors, the NCAB Group based in Sweden. He has taken active steps to cover both his own steps and those of his co-conspirators through dishonest deception and the deliberate destruction of evidence."
"Until the earliest of trial, or 18 July 2010, or further order of the court, the first respondent must not (a) solicit or encourage any employee of the applicant to become employed by NCAB Group UK Limited or NCAB Holdings AB, or the NCAB Group (b) solicit or encourage any supplier or customer of the applicant to become a supplier or customer of NCAB Group UK Limited or NCAB Holdings AB or the NCAB Group (c) be employed in any capacity, paid or unpaid, by any of those three entities or (d) advise or assist any of those three entities in its business, including without limitation, advising or assisting in the recruitment of staff or the solicitation of customers or suppliers."
(Quote unchecked)
"I am told by Mr Goff and verily believe that he does not have sufficient resources to support himself and his family without any income for such an extended period and as such the Claimant effectively sought to prevent him from being able to leave their employ. That was, I understand the subtext of his conversation with Mr Giles at the time and why Mr Giles agreed to amend the agreement (although that in fact never happened). The First Defendant believes this Application to be driven by personal malice and revenge."