POL00059869 - Regina v Khayyam Ishaq Addendum Defence Case Statement

Evidence on official site

IN THE BRADFORD CROWN COURT
REGINA

-V-

KHAYYAM ISHAQ

ADDENDUM DEFENCE
CASE STATEMENT

1. This Addendum Defence Case Statement is served in addition to the original
Defence Case Statement dated 29" August 2012.

The Horizon Online system.

2. The malfunctions to the Horizon Online System and the defendant's actions in
response included the following:

i. The Horizon Online system would often crash and freeze and would give
inaccurate total figures at the end of trading and/or balance periods ;

ii, As a result of these problems the defendant called the Horizon Help Desk in

the region of 8-10 times a month on the telephone number!

These calls were made over a period of about 12 months ;

ii, The following are some of the reports (date of report and corresponding
allocated reference number) made by the defendant to the Horizon Help Desk
on telephone number ising an automated switchboard when he

selected the option which dealt with technical problems with the Horizon

system.
a. 19/04/2010 : Report H-22766041

b. 11/05/2010, Report had no Reference Number

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©. 24/06/2010, Report H-22792410

d. 10/07/2010, Report H- 22792410 & Report 2572046
@. 12/7/2010, Report H-022792410

f. 13/07/2010, Report H-22792410

g. 21/07/2010, Report H-2572046

h. 9/08/2010 Report H-2572046

i, 10/08/2010 same reference number as above regarding same problem
Report H-2572046

j. 11/08/2010 same reference number as above regarding same problem
Report H-2572046

k. 12/08/2010 same reference number as above regarding same problem
Report H-2572046

I. 16/08/2010 Report H — 16795487
m. 1/08/2010 Report T1687336

n. 16/09/2010 No reference number
0. 6/10/2010 Report H-16923076

p. 27/10/2010 Report H-16951682

It is noted that the telephone call logs recently served by the prosecution deal
only with specific identifiable transaction problems (for example a DVLA tax
disc issued incorrectly) and not with problems experienced with the Horizon
Online system generally whereby erroneous and/or inexplicable results
appeared to be produced by the system ;

When a balance and/or trading report produced by the system showed there
was a shortage of cash the system would give the defendant an option to
“make good the discrepancies” ;

POL00059869
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vi. On occasions the defendant did not accept that he had made an error and
requested that the issue be dealt with centrally by the Post Office. On such
occasions he received a letter from Chesterfield Central’) ;

vil.

encountering with the system. No reference numbers were provided by the
Chesterfield staff to the defendant but he was assured the matter would be

investigated ;

villi. Specifically in relation to the indictment period the defendant estimates the
dates to be Mid September 2010 and Mid December 2010 when such calls
were made,

ix. Prior to the indictment period, the problems and issues were discussed by the
defendant with Post Office staff in Chesterfield during the middle of each
calendar month from about November 2009 to August 2010.

This addendum defence statement has been read and approved by me.

Oe
Date of

Musa A Patel & Co Solicitors
73 Bradford Road
DEWSBURY

West Yorkshire

WF13 2EG

DX 23371 DEWSBURY