FUJ00122958 - Draft witness statement for Andrew Paul Dunks

Evidence on official site

FUJ00122958
FUJ00122958

Witness Statement

(CJ Act 1967, s9; MC Act 1980, ss 5A(3)(a)
and 5B, MC Rules 1981, r 70)

Statement of Andrew Paul Dunks.

Age if under 18 Over 18 (If over 18 insert ‘over 18")

This statement (consisting of six (6) pages each signed by me) is true to the best of my knowledge and
belief and I make it knowing that, if it is tendered in evidence, I shall be liable to prosecution if I have
wilfully stated in it anything which I know to be false or do not believe true.

Datedthe 10 day of September 2010

Signature

I have been employed by Fujitsu Services, Post Office Account, formally ICL Pathway Ltd

e 20 Jan

logy GT) st responsible for audit

data extractions and IT Security. I have working knowledge of the computer system known as

y y

Horizon, which is a computerised accounting system used by Post Office Ltd. I am authorised
by Fujitsu Services to undertake extractions of audit archived data and to obtain information

regarding system transactions recorded on the Horizon system.

Horizon’s documented procedures stipulate how the Horizon System operates, and while I am
not involved with any of the technical aspects of the Horizon System, these documented

processes allow me to provide a general overview.

At each Post Office there are counter positions that have a computer terminal, a visual display
unit and a keyboard and printer. This individual system records all completed transactions input
by the counter clerk working at that counter position. Clerks log on to the system by using their
own unique password. The transactions performed by each clerk, and the associated cash
and stock level information, are recorded by the computer system in a stock unit. Once logged
on, all completed transactions performed by the clerk must be recorded and entered on the
computer and are accounted for within the user's allocated stock unit.

The Horizon system provides a number of daily and weekly records of all completed

Signature Signature witnessed by

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(CJ Act 1967, s9; MC Act 1980, ss 5A(3)(a) and 5B, MC Rules 1981, r 70)

Continuation of statement of Andrew Paul Dunks

transactions input into it. It enables Post Office users to obtain computer summaries for
individual clients of Post Office Limited e.g. Alliance & Leicester. The Horizon system also
enables the clerk to produce a periodic balance of cash and stock on hand combined with the

other transactions performed in that accounting period, known as a trading period.

Where local reports are required these are accessed from a button on the desktop menu. The
user is presented with a parameter driven menu, which enables the report to be customised to
requirements. The report is then populated from transaction data that is held in the local
database and is printed out on the printer. The system also allows for information to be

transferred to the main accounting department at Chesterfield.

The Post Office counter processing functions are provided through a series of counter
applications: the Electronic Point of Sale Service (EPOSS) that enables Postmasters to
conduct general retail trade at the counter and sell products on behalf of their clients; the
Automated Payments Service (APS) which provides support for utility companies and others
who provide incremental in and out payment mechanisms based on the use of cards and other
tokens and the Logistics Feeder Service (LFS) which supports the management of cash and
value stock movements to and from the outlet, principally to minimise cash held overnight in
outlets. The counter desktop service and the office platform service on which it runs provides
various common functions for transaction recording and settlement as well as user access
control and session management.

Information from counter transactions is written into a local database and then replicated
automatically to databases on all other counters within a Post Office outlet. The information is
then forwarded over ADSL (Asymmetric Digital Subscriber Line) or other communication
service, to databases on a set of central Correspondence Servers at the Fujitsu Services data
centres. This is undertaken by a messaging transport system within the Transaction
Management Service (TMS). Various systems then transfer information to Central Servers that
control the flow of information to various support services. Details of outlet transactions are
normally sent at least daily via the system. Details are then forwarded daily via a file transfer

Signature Signature witnessed by

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(CJ Act 1967, s9; MC Act 1980, ss 5A(3)(a) and 5B, MC Rules 1981, r 70)

Continuation of statement of Andrew Paul Dunks

service to the Post Office accounting department at Chesterfield and also, where appropriate,
to other Post Office Clients.

An audit of all information handled by the TMS is taken daily by copying all new messages to
archive media. This creates a record of all completed outlet transaction details including its
origin - outlet and counter, when it happened, who caused it to happen and the outcome. The
TMS journal is maintained at each of the Fujitsu Services Data Centre sites and is created by
securely replicating all completed transaction records that occurred in every Outlet. They
therefore provide the ability to compare the audit track record of the same transaction recorded
in two places to verify that systems were operating correctly. Records of all transactions are
written to audit archive media.

The system clock incorporated into the desktop application on the counter visual display units
is configured to indicate local time. This has been the situation at Up Hatherley Post Office,
Branch Code 368523 since 11 January 2001 when the Horizon system was introduced at that
particular Post Office.

The Horizon system records time in GMT and takes no account of Civil Time Displacements,
thus during British Summer Time (BST) (generally the last Sunday in March to the last Sunday
in October), system record timings are shown in GMT — one hour earlier than local time (BST).

When information relating to individual transactions is requested, the data is extracted from the
audit archive media via the Audit Workstations (AWs). Information is presented in exactly the
same way as the data held in the archive although it can be filtered depending upon the type of
information requested. The integrity of data retrieved for audit purposes is guaranteed at all
times from the point of gathering, storage and retrieval to subsequent despatch to the
requester. Controls have been established that provide assurances to Post Office Internal
Audit (POIA) that this integrity is maintained.

Signature Signature witnessed by

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(CJ Act 1967, s9; MC Act 1980, ss 5A(3)(a) and 5B, MC Rules 1981, r 70)

Continuation of statement of Andrew Paul Dunks

During audit data extractions the following controls apply :

1. Extractions can only be made through the AWs which exist at Fujitsu Services,
Lovelace Lane, Bracknell, Berkshire and Fujitsu Services, Sackville House, Brooks
Close, Lewes, East Sussex. These sites are both subject to rigorous physical security
controls appropriate to each location. All AWs are located in a secure room subject to
proximity pass access within a secured Fujitsu Services site.

2. Logical access to the AW and its functionality is managed in accordance with the
Fujitsu Services, Post Office Account Security Policy and the principles of ISO 17799.
This includes dedicated Logins, password control and the use of Microsoft Windows NT
security features.

3. All extractions are logged on the AW and supported by documented Audit Record
Queries (ARQs), authorised by nominated persons within Post Office Ltd. This log can
be scrutinised on the AW.

Extractions are only made by authorised individuals.
Upon receipt of an ARQ from Post Office Ltd they are interpreted by CS Security. The
details are checked and the printed request filed.

6. The required files are identified and marked using the dedicated audit tools.

7. Checksum seals are calculated for audit data files when they are written to audit
archive media and re-calculated when the files are retrieved.

8. To assure the integrity of the audit data while on the audit archive media the checksum
seal for the file is re-calculated by the Audit Track Sealer and compared to the original
value calculated when the file was originally written to the audit archive media. The
result is maintained in a Check Seal Table.

9. The specific ARQ details are used to obtain the specific data.

10. The files are copied to the AW where they are checked and converted into the file type
required by Post Office Ltd.

11. Windows Events generated by the counters within the branch/timeframe in question are

checked to ensure the counters were functioning correctly.
12. The requested information is copied onto removable CD media, sealed to prevent
modification and virus checked using the latest software. It is then despatched to the

Signature Signature witnessed by

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Continuation of statement of Andrew Paul Dunks

Post Office Ltd Casework Manager using Royal Mail Special Delivery. This ensures
that a receipt is provided to Fujitsu Services confirming delivery.

ARQs 560-568/0809 were received on 19 January 2009 and asked for information in
connection with the Post Office at Up Hatherley, Branch code 329613. I produce a copy of
ARQs 560-568/0809 as Exhibit AD/01.

The requested data for ARQs 560-568/0809 were originally supplied to Post Office Ltd on 29
January 2009 by Penelope Thomas. I have reviewed the archived ARQ data which was
extracted by Penelope Thomas and confirm that the data provided was extracted from the
Horizon system in accordance with the requirements of ARQs 560-568/0809 and that the
extraction process followed the outlined procedure. I produce a CD containing the resultant
data as Exhibit AD/O02. This CD contains a certified true copy of the original transactional data
which was supplied in January 2009. This data has been held securely on the Audit Data
Workstation since its original extraction and contains no additions, deletions or other
amendments. The CD, Exhibit AD/02 was sent to the Post Office Investigation section by
Special Delivery on 10 September 2010.

The report is formatted with the following headings:
ID — relates to counter position
User — Person Logged on to System
SU — Stock Unit
Date — Date of transaction
Time — Time of transaction
Sessionld — A unique string relating to current customer session
Txnid — A unique string relating to current transaction
Mode — e.g. SC which translates to Serve Customer
ProductNo — Product Item Sold
Qty — Quantity of items sold
SaleValue — Value of items sold

Signature Signature witnessed by

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(CJ Act 1967, s9; MC Act 1980, ss 5A(3)(a) and 5B, MC Rules 1981, r 70)

Continuation of statement of Andrew Paul Dunks

Entry method - Method of data capture for Transactions (0 = barcode, 1 = manually
keyed, 2 = magnetic card, 3 = smartcard, 4 = smart key)

State - Relates to OBCS

IOP - Order Book Number — OBCS only

Result — Order Book Transaction Result - OBSC only

Foreign Indicator — Indicates whether OBCS payment was made at a local or foreign
outlet (0- Local, 1- Foreign). The foreign indicator defaults to a ‘0’ for all manually

entered transactions - OBCS only

The Event report is formatted with the following headings:
Groupid — FAD code
ID — relates to counter position
Date — Date of transaction
Time — Time of transaction
User — Person Logged on to System
SU — Stock Unit
EPOSSTransaction.T — Event Description
EPOSSTransaction.Ti — Event Result
Type — Inactivity Logout noted
Logout Authority — User who logged out the account
SecurityEvent.User — User who failed to log in

There is no reason to believe that the information in this statement is inaccurate because of
the improper use of the system. To the best of my knowledge and belief at all material times
the system was operating properly, or if not, any respect in which it was not operating properly,

or was out of operation was not such as to effect the information held within it.

Any records to which I refer in my statement form part of the records relating to the business of
Fujitsu Services. These were compiled during the ordinary course of business from
information supplied by persons who have, or may reasonably be supposed to have, personal

Signature Signature witnessed by

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(CJ Act 1967, s9; MC Act 1980, ss 5A(3)(a) and 5B, MC Rules 1981, r 70)

Continuation of statement of Andrew Paul Dunks

knowledge of the matter dealt with in the information supplied, but are unlikely to have any
recollection of the information or cannot be traced. As part of my duties, I have access to
these records.

Signature Signature witnessed by

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