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Witness Name: Donna Maria Munro
Statement No.: WITN06850100
Dated: 29 December 2023
POST OFFICE HORIZON IT INQUIRY
FIRST WITNESS STATEMENT OF DONNA MARIA MUNRO
1, MS DONNA MARIA MUNRO, will say as follows:
Introduction
1. I am a former employee of Fujitsu Services Limited (“Fujitsu”), having left the
business in 2015.
2. This witness statement is made to assist the Post Office Horizon IT Inquiry (the
“Inquiry”) with the matters set out in the Rule 9 Request provided to me on 29
November 2023 (the “Request’), to the extent I have or had direct knowledge of
such matters. My long-term and short-term recollection has been affected by
recent medical issues, and I have very limited recollection of the events covered in
the Request. For this reason, the content of my witness statement largely focusses
on the documents provided to me by the Inquiry. Where I have referred to
documents which have assisted my response, the URNs of the relevant documents
are set out in this statement.
3. I was assisted in preparing this statement by Morrison Foerster, who represent
Fujitsu in the Inquiry.
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Professional Background
4. Prior to joining Fujitsu, I worked for a technology company processing orders,
providing customer support and performing general administrative tasks.
5. I believe I joined Fujitsu in or around 2001 as a Systems Management Centre
(“SMC”) Technician in the Royal Mail Group Account team (“RMG Account”).
However, I have been shown a Powerhelp call log which I opened on 15 December
2000, which suggests I must have started my role at Fujitsu in at least December
2000 ([FUJ00144084]). The SMC conducts Fujitsu’s internal monitoring of the
Horizon system and operates 24 hours a day, every day.
6. My recollection of what this role involved is very limited due to the reasons set out
above. I recall that I was part of the team that was responsible for monitoring the
rollout of the Horizon system through management of calls from Post Office
branches in relation to the remote upgrades deployed to Horizon counters. This
involved ensuring that Horizon counters within specific offices were deployed or
rolled back on time. If an issue arose, I would refer to the known error log (“KEL”)
and/or engage the Software Support Centre (“SSC”) and/or Management Systems
Support (“MSS”) to resolve the issue. As part of the SMC, I was also responsible
for monitoring alerts of the Tivoli system for error messages produced by branch
counters and back-end systems.
7. I did not receive formal training for this role, however on-the-job training was
delivered by experienced senior team members. Due to the passage of time, I
cannot recall the names of these individuals, but I do recall that Horizon system
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architects lan Bowen and Glen Stephens would also assist with the team’s
technical knowledge and understanding of the solutions used for raised issues.
. I progressed to SMC Team Leader, responsible for management and workload
distribution of six individuals in the team. I cannot recall specifically when I
progressed to this role, but I think it is likely to have been at least one year after I
joined Fujitsu. In 2005, I left the RMG Account team to support different projects
across the Fujitsu business.
. In or around June 2009 I was offered the role of Security Operations Manager in
Fujitsu's Post Office Account team (the “PO Account”). This was a start-up role in
the team which I believe I was offered given my experience in differing roles within
Fujitsu. I did not have much experience within Security at the start of my role, and
I raised this with the PO Account Manager, Peter Thompson. He and the Chief
Information Security Officer (“CISO”) offered support throughout my role. The role
of CISO was held by various individuals across my time on the PO Account,
including Tom Lillywhite, Howard Pritchard and Brad Warren.
.On joining the PO Account, my main focus was on gaining an understanding of
how the teams worked. I reviewed a number of the services provided by the
Security team, including access control (implementing a joiner leavers movers
process), Security clearances, patch management/monitoring, antivirus updates,
and reconciliation services (the “Reconciliation Service’). I reviewed the
documentation in place for each of these services and where appropriate produced
work instructions for each process, including how and why each task was
performed. The purpose of such work instructions was to ensure that any team
member, after initial in-house training, could follow the instructions to complete the
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task. An index of these documents was kept. [FUJ00088799] is an example of a
work instruction I prepared for the User Access Process and documents how the
Security team gained access to physical and technical assets within the PO
Account.
1
. The Inquiry has referred me to document [FUJ00230968] which includes an email
from myself to Penny Thomas, Andy Dunks and Rajbinder Bains on 9 February
2011, requesting they each populate a Security Operations document index with
the processes for which they were responsible. This is an example of how I
performed the role described at paragraph 10 above.
12.The Security team also offered litigation and/or fraud support services (the
“Litigation Support Service”) to Post Office Limited (“POL”). Documentation for
the Litigation Support Service was established prior to my joining the PO Account.
The Inquiry has referred me to documents [FUJ00152221] and [FUJ00152225],
which are examples of this documentation, which was produced, well-maintained
and updated appropriately by Penny Thomas, the Subject Matter Expert (“SME”).
I made no amendments to these documents during my time working on the PO
Account.
13.1 was also responsible for management of the Security team, including sickness,
leave and performance monitoring, and workload distributions.
14.In my day-to-day work I reported directly to Peter Thompson in relation to PO
Account services and there was an open line of communication between us. I
would report my daily activities, changes I planned to implement, and any team
issues. I also maintained a working relationship with the CISO and would reach out
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to him for questions relating to more technical/security matters of the work carried
out by the Security team.
15.From 2012, my focus moved to supporting the Payment Card Industry Data
Security Standards (“PCI DSS”) compliance programme, though I still maintained
an oversight of the Security team. Initially, I supported Bill Membery (Quality and
Compliance Manager, PO Account) in the assessment of the programme, and later
I took on responsibility of the PC! DSS work, working alongside the support teams,
the PCI Qualified Security Assessor and POL’s representative, Connie Penn, to
understand the programme’s compliance requirements. I organised interviews with
each of the aforementioned teams to evidence that the compliance requirements
of the PCI DSS programme had been met.
16.1 left Fujitsu in 2015 to take up a role as a PCI DSS consultant within another
company. Since then, I have completed several PCI DSS qualifications and
attained the ISO 27001 Lead Auditor certification.
Other Fujitsu employees
17.1In my role as Security Operations Manager, I was line manager to the SME
responsible for the management and carrying out of the extraction of audit data
(‘ARQ data”). When I joined the PO Account team, Penny Thomas held this role,
supported by Andy Dunks. Rajbinder Bains joined the team a few months later.
18.As SME, Penny Thomas was responsible for the provision of the Litigation Support
Service and supported the Reconciliation Service. She was supported by the SSC
(including Anne Chambers) and Gareth Jenkins as and when required.
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19.In the day-to-day performance of her role, Penny Thomas reported to the PO
Account Manager and the CISO, rather than to me. As her line manager, I was
copied into some of Penny Thomas’ email correspondence so that I could
understand and manage the resourcing levels and capacity of the team. Penny
Thomas also liaised directly with POL in the performance of her role as their direct
point of contact for the Litigation Support Service. From memory and review of the
documentation, Penny Thomas would occasionally copy me into email
correspondence with POL so that I had visibility of her capacity. Penny Thomas
would only reach out to me for assistance in relation to the Litigation Support
Service for things like arranging cover when she was away, as I managed the team
workloads. I do not recall Penny Thomas raising concerns relating to the service
itself, as these would normally be raised with the PO Account Manager or CISO. I
did not offer subject matter support to the Litigation Support Service.
20.Penny Thomas provided training in all areas of the Litigation Support Service and
Reconciliation Service, to Rajbinder Bains and Andy Dunks. Penny Thomas also
trained in the other areas of the Security services. The aim of training both
Rajbinder Bains and Andy Dunks was to ensure that the Litigation Support Service
and Reconciliation Service would continue to function even if a member of the team
was absent.
2
.! believe that Gareth Jenkins was a Senior Solution Architect for the Horizon
system. He assisted Penny Thomas in understanding the ARQ data she retrieved
as part of the Litigation Support Service and I believe he was, on occasion, called
as an expert witness in prosecutions conducted by POL. I did not work with Gareth
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Jenkins on a technical basis, and only spoke with him on a rare occasion, briefly
saying ‘hello’ around the office.
22.Anne Chambers worked in the SSC providing third- and fourth-line support to the
Horizon system. I recall one occasion where she assisted Penny Thomas with her
understanding of ARQ data retrieved as part of the Litigation Support Service, and
I assume this will have been a similar type of support to that offered by Gareth
Jenkins, though I am uncertain of any further details of this occasion. I did not work
with Anne Chambers on a regular basis in relation to Security operations. I began
to work with Anne Chambers and the SSC on a more frequent basis when I joined
the PCI DSS compliance programme in 2012. This would have been regarding the
requirements and controls needed as part of audits.
23.Andy Dunks was the Crypto Key Manager for the team and provided Security
Analyst support to Penny Thomas. The Crypto Key Manager was responsible for
the renewal of counter encryption keys, a secure process carried out by two Key
Custodians and overseen by a third person, who I believe needed to be a team
manager or alike. From recollection, on my joining of the Security team there was
no clear work instruction in place for this process. Therefore, I worked through the
process step-by-step and documented the work instructions. I was a Key
Custodian alongside Andy Dunks. In the day-to-day performance of his role, Andy
Dunks would report to me.
24.Rajbinder Bains joined the PO Account Security team in 2009 with a focus on
access control and anti-virus clearances. She also provided Security Analyst
support to Penny Thomas after training as described above. In the day-to-day
performance of her role, Rajbinder Bains would report to me.
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25.At a high level, I was aware of the process the team carried out to extract ARQ
data. The team worked in a secure room to access the audit servers via the audit
workstation and would extract the ARQ data requested by POL. If required, the
team would produce a corresponding witness statement in respect of how the ARQ
data was gathered. The team were responsible for providing the ARQ data and
witness statements to POL. If required, they could also be asked to present this
evidence at court. I understood that the extraction of ARQ data was a contractual
requirement of Fujitsu’s relationship with POL.
26.1 did not have any role in the extraction of ARQ data, provision of witness
statements or the legal proceedings which followed. As mentioned above, Penny
Thomas reported directly to the PO Account Manager and CISO in regard to
matters of the Litigation Support Service, including in circumstances where issues
needed to be escalated. As her line manager, I would be copied for awareness of
potential resourcing impacts, as in documents [FUJ00154969] and [FUJ00225720]
referred to me by the Inquiry.
Relationship with Post Office Limited (POL)
27. Throughout my role as Security Operations Manager, I attended monthly meetings
with the CISO and POL’s Senior Security Manager, Dave King, to discuss Security
activities. At the monthly meetings, Fujitsu and POL would agree a Security report.
Due to the passage of time, I cannot now recall the usual contents of this report,
however document [FUJ00231986] appears to be a copy of the April 2011 report
delivered to Dave King by the PO Account team. On occasion, POL’s Head of
Information Security, Sue Lowther, would also attend the meetings, however she
would usually meet with the CISO independently.
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28.1 do not recall any specific discussions regarding the Horizon system’s integrity
with POL at the monthly Security meetings.
29.In the Request, the Inquiry asked that I consider [FUJ00225729]. It appears that
Peter Thompson received an urgent ARQ request from POL on 1 October 2010,
which originated with Paula Vennells. This was forwarded to me for information,
and Penny Thomas actioned and responded to the request. I do not recall the
matters discussed in this email chain, and I had no relationship with either Paula
Vennells or Helen Rose. I assume communication with Paula Vennells would be
via the CISO or PO Account Manager, though I do not know what kind of issues
would be discussed. I do not recall there being a line of communication between
anyone below the PO Account Manager or CISO level and Paula Vennells.
Audit data from Horizon
30. There was a contractual requirement for Fujitsu to retrieve different types of audit
data from the Horizon system to support POL, including ARQ data, banking records
and Help Desk call logs. This was provided through the Litigation Support Service.
3
. There were agreed limits on the number of requests and days per requests which
could be made per annum. POL could request additional data over these
thresholds and, at that point, a Change Proposal would be raised and costed to
provide the additional data. The Inquiry has referred me to documents
[FUJ00229537], [FUJ00231940], [FUJ00231939], [FUJ00231959],
[FUJ00229495] and [FUJ00156632] which have aided my recollection of the
process undertaken by the PO Account to provide additional data to POL. In most
cases, POL would make requests for additional data to Penny Thomas or the
supporting team (Rajbinder Bains and Andy Dunks), and they would have raised
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the Change Proposal with me listed as the ‘owner’ as their line manager. I was not
responsible for the drafting of the Change Proposal or the calculation of the cost of
additional ARQ data. Penny Thomas would provide costings for the provision of
additional ARQ data and raise the relevant change paperwork, with the support of
Change Manager Ken Westfield. Costs would be calculated by reference to an
agreed spreadsheet of man-days and daily rates, which was held by Ken Westfield.
I believe that additional costings were always based off of this spreadsheet. Penny
Thomas would then communicate the rates and additional costings to POL.
32.As mentioned above, my role was focussed on managing the team in terms of
workload and team welfare. I was not directly involved in the extraction, retrieval
or provision of ARQ data to POL.
Issues with ARQ data
Duplicate Transactions issue
33.The Inquiry has referred me to documents [FUJ00097033], [FUJ00097035],
[FUJ00097036], [FUJ00097042], [FUJ00097046), _ [FUJ00097047],
[FUJ00097052], [FUJ00097053], [FUJ00097054), _ [FUJ00097055),
[FUJ00097056], [FUJ00097057], [FUJ00097058], [FUJ00097059],
[FUJ00097060], [FUJ00097062], [FUJ00121097], _ [FUJ00122903],
[FUJ00122904], [FUJ00122961], [FUJ00122958], [FUJ00154902],
[FUJ00154905], [FUJ00154918], [FUJ00155517], [FUJ00172046),
[FUJ00097037], [FUJ00156217], [FUJ00225752], [FUJ00225785] and
[FUJ00228770] in relation to an issue identified with audit data. I do not recall this
event from memory and therefore my recollection has been supported by my
review of these documents.
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34.1 recall being made aware of the issue by Penny Thomas but, until reviewing the
documents referred to me by the Inquiry, I could not recall any details of the issue
or how it was resolved. From my review of the provided documents, the issue was
identified in June 2010 whereby duplicate transaction records were being shown
on the retrieval of records (the “Duplicate Transactions issue’). I would have
been first notified of the issue on 23 June 2010 when Penny Thomas shared an
initial report of the problem with me via email ({[FUJ00097058] and
[FUJ00097055)).
35.Penny Thomas appears to have raised the Duplicate Transactions issue with the
relevant teams within Fujitsu, such as the SSC, for investigation and provided the
senior management team, including Tom Lillywhite, Peter Thompson, Guy
Wilkerson and Geoff Butts, with full and regular updates on the matter (this is
shown in [FUJ00097035], for example). I was not involved in any discussions
regarding resolution or communication of the issue to POL. Once Penny Thomas
had notified POL of the Duplicate Transactions issue, she shared notes of a call
she attended with POL with Tom Lillywhite, Peter Thompson, Graham Welsh and
me ([FUJ00121097] and [FUJ00154902)).
36.1 was not directly involved in managing the Duplicate Transactions issue, but I
would have been copied into some emails by Penny Thomas for visibility of what
she was working on (such as [FUJ00154902] and [FUJ00097033)).
37.1 can see from the email trail that a software release was issued to fix the Duplicate
Transactions issue ([FUJ00154918)).
38.1 cannot recall any other raised issues which may have impacted the integrity of
ARQ data.
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Retrieval of Historic ARQ Data / Second Sight
39.In the Request, the Inquiry has referred me to documents [FUJ00225316],
[FUJ00225329}, [FUJ00226141], [FUJ00232061].
40.1 have very limited recollection of investigations into historic cases concerning the
integrity and reliability of Horizon data referenced in the above documents.
41.After consideration of [FUJ00225316], I can recall assisting Pete Newsome with
raising the Change Proposal. I believe he had received a request from POL to
retrieve historical Help Desk calls and I helped him to produce the Change
Proposal with the assistance of Ken Westfield, as per the process described above
at paragraph 31.
42.1 have no further recollection of Fujitsu and/or POL’s relationship with Second Sight
and am only aware of the mention of Second Sight work as it is referred to in
document [FUJ00225329].
General
43.Unfortunately, I cannot recall anything further on the matters outlined in the
Request or other matters relevant to the Inquiry’s Terms of Reference. There are
no other matters that I would like to bring to the attention of the Chair of the Inquiry.
Statement of Truth
I believe the content of this statement to be true.
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INDEX TO THE FIRST WITNESS STATEMENT OF
MS DONNA MARIA MUNRO
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No.
Document Description
Control No.
URN
PowerHelp Call Log E-0012151527-
Caller: PM Unknown- advising PM
of upgrade on Monday night
18/12/00
POINQ0150278F
FUJ00144084
Fujitsu/Post Office®Post Office
Account User Access Procedure
(v4.0)
POINQ0094970F
FUJ00088799
Email from Penny Thomas to
Donna Munro cc Andy Dunks,
Rajbinder Bains RE: Documentation
POINQ0237122F
FUJ00230968
Audit Data Extraction Process - v1.1
POINQ0158415F
FUJ00152221
Management of the Litigation
Support Service - v2.0
POINQ0158419F
FUJ00152225
Email from Penny Thomas to Peter
Thompson, Jean-Phillippe
Prenovost, cc: others RE FW MR
Humphrey - POL Prosecution
support
POINQ0161164F
FUJ00154969
Email chain from Penny Thomas to
Andy Dunks and cc'd Donna Munro
- Re: Kirkoswald - ARQ P048 -
PO58
POINQ0231837F
FUJ00225720
RMG Security Ops Service
Management Report - Monthly
Review - April 2011
POINQ0238140F
FUJ00231986
Email chain from Penny Thomas to
Cheryl Card, Mark Wright John
Simpkins and others - Re: FW:
URGENT - ARQ request -
Ferndown 282508
POINQ0231846F
FUJ00225729
10
Email from Penny Thomas to Steve
Parker RE: ROM2336: New Change
Request - CRO2446 - ROM -
Fearndale Road - ARQ
POINQ0235691F
FUJ00229537
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11
HNG-X Change Proposal - HNG-X
CPOxxx - Change to Current Supply
of ARQ Thresholds
POINQ0238094F
FUJ00231940
12
Email from Ken Westfield to Donna
Munro and Penny Thomas re Draft
CP for ARQ RWP from POL -
Change to security quotas in ARQ
POINQ0238093F
FUJ00231939
13
Fujitsu - HNG-X Change Proposal -
HNG-X CP0625 - Change to
Current Supply of ARQ Thresholds
by Penny Thomas - V 1.0
POINQ0238113F
FUJ00231959
14
Fujitsu - HNG-X CHANGE
PROPOSAL - POL Request for
Expert Analysis of Transaction
Records for Oaktree Post Office -
ORIGINATOR: Penny Thomas -
Ref: PGM/CHM/TEM/0001 - V1.0
POINQ0235649F
FUJ00229495
15
Email from Ken Westfield to Penny
Thomas, Torstein Godeseth RE
ROM2446: New Change Request -
CRO2446 ROM Fearndale Road
ARQ
POINQ0162826F
FUJ00156632
16
Email correspondence between
Penny Thomas and other regarding
duplication of transaction records
POINQ0103204F
FUJ00097033
17
Email chain on duplication of ARQ
data between Penny Thomas and
Gareth Jenkins
POINQ0103206F
FUJ00097035
18
Email chain between Penny
Thomas (Fujitsu), Pat Llywood
(Fujitsu), Graham Welsh, and
others, re: PC0200468 - Duplication
of Transaction Records
POINQ0103207F
FUJ00097036
19
Email chain from Gareth Jenkins to
Graham Allen, Alan Holmes,
Andrew Mansfield and other re:
PC0200468 - Duplication of
Transaction Records with
attachment
POINQ0103213F
FUJ00097042
20
Emails between Guy Wilkerson,
Geoff Butts & Alan D’Alvarez re
duplication of transaction records
POINQ0103217F
FUJ00097046
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21
Email chain between Penny
Thomas, Guy Wilkerson , Geoff
Butts and others RE: Duplication of
Transaction Records on ARQ
Returns
POINQ0103218F
FUJ00097047
22
Email from Butts Geoff to David
Cooke RE: FW: ARQs
POINQ0103223F
FUJ00097052
23
Email chain between Graham
Welsh, Penny Thomas and others
POINQ0103224F
FUJ00097053
24
Email chain from Gareth Jenkins to
Penny Thomas and Guy Wilkerson,
RE: "Duplication of Transaction
Records on ARQ Returns."
POINQ0103225F
FUJ00097054
25
Email chain between Penny
Thomas, Graham Welsh, Gaetan
Achte and others RE: FW:
Duplication of Transaction Records
on ARQ Returns
POINQ0103226F
FUJ00097055
26
Email chain between Penny
Thomas, Guy Wilkerson, Graham
Welsh and others; RE: Duplication
of Transaction Records on ARQ
Returns
POINQ0103227F
FUJ00097056
27
Email from Penny Thomas to Guy
Wilkerson RE: FW: Duplication of
Transaction Records on ARQ
Returns
POINQ0103228F
FUJ00097057
28
Report called "Duplication of
transaction Records contained in
ARQ returns - 22 June 2010 by
Penny Thomas
POINQ0103229F
FUJ00097058
29
Email chain between Penny
Thomas, Guy Wilkerson, Gareth
Jenkins RE: Duplication of
Transaction Records on ARQ
Returns
POINQ0103230F
FUJ00097059
30
Email chain between Geoff Butts,
Guy Wilkerson, Penny Thomas and
others RE: Duplication of
Transaction Records on ARQ
Returns
POINQ0103231F
FUJ00097060
31
Email chain between Geoff Butts,
Guy Wilkerson, Penny Thomas and
POINQ0103233F
FUJ00097062
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others RE: Duplication of
Transaction Records on ARQ
Returns and informing POL of
issues
32
Emails between Penny Thomas,
Tom Lillywhite, Peter Thompson,
Graham Welsh, Donna Munro and
Gareth Jenkins regarding ARQ
returns containing duplicated
records, including a request not to
share information with POL.
POINQ0127290F
FUJ00121097
33
Email from Penny Thomas to Tom
Lillywhite, Gareth Jenkins and Guy
Wilkerson re: FW: Duplication of
Transaction Records in ARQ
Returns.
POINQ0129117F
FUJ00122903
34
Standard form Fujitsu draft witness
statement Version 9.0 (0209)
CS011A with mark-up and
comments by Penny Thomas
POINQ0129118F
FUJ00122904
35
Email from Penny Thomas to Andy
Dunks, Donna Munro, Jane M
Owen and others re: FW: Regina v
Wendy Buffrey
POINQ0129175F
FUJ00122961
36
Draft witness statement for Andrew
Paul Dunks
POINQ0129172F
FUJ00122958
37
Seema Misra case study: Email trail
from Penny Thomas to Tom
Lillywhite, Peter Thompson,
Graham Welsh and Donna Munro
re: FW: Action Points - Duplicated
Records
POINQ0161097F
FUJ00154902
38
Seema Misra case study: Email trail
from Penny Thomas to Jean-
Philippe Prenovost, and Tom
Lillywhite cc: Graham Welsh,
Gareth Jenkins, Donna Munro et al
re: FW: Duplication of Transaction
Records in ARQ Returns
POINQ0161100F
FUJ00154905
39
Email chain from Penny Thomas to
Tom Lillywhite and Donna Munro re:
FW: Duplication of Transaction
Records in ARQ Returns
POINQ0161113F
FUJ00154918
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40
Email from Penny Thomas to Andy
Dunks, Rajbinder Bains and Donna
Munro re FW: Matter Arising from
ARG194/1011 regarding technical
issues at Derby outlet
POINQ0161711F
FUJ00155517
“1
Email chain from Gerald Barnes to
Penny Thomas, RE: FW:
PC0200468 - Duplication of
Transaction Records
POINQ0178227F
FUJ00172046
42
Email chain between Guy
Wilkerson, Penny Thomas, Gareth
Jenkins and others RE: Duplication
of Transaction Records on ARQ
Returns
POINQ0103208F
FUJ00097037
43
Email from Penny Thomas to
Gareth Jenkins re: FW: PEAK
202819 - Sysman3 Events - Service
Delivery Issue
POINQ0162411F
FUJ00156217
44
Email from Sarah Selwyn to Steve
Parker, Donna Munro and others re
“ARQ calls - further to yesterdays
rant. .
POINQ0231869F
FUJ00225752
45
Email from Donna Munro to Penny
Thomas and Rajbinder Bains re:
Expedited Change [Royal Mail
Group Account] Note added to
04340288930
POINQ0231902F
FUJ00225785
46
Email trail from Penny Thomas to
Steve Parker and from Sarah
Selwyn to Penny Thomas re FW:
PC0204310 - Duplicate JSN
detected
POINQ0234924F
FUJ00228770
47
CT Title: Retrieval of Historical
Horizon data. CP NO; 5408 (0851).
POL Ref: CRO2580. Raised by
Simon Baker (POL) to Donna
Munro (Fuj)
POINQ0231433F
FUJ00225316
48
Email chain from Penny Thomas to
Pete Newsome cc: Donna Munro
RE: Horizon data
POINQ0231446F
FUJ00225329
49
Email from James Davidson to Pete
Newsome cc Donna Munro,
Matthew Church Re: Request for
ARQ Extract
POINQ0232258F
FUJ00226141
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50
Email from Donna Munro to Pete
Newsome, James Davidson and
Ken Westfield re: Retrieval of
Historical data
POINQ0238215F
FUJ00232061
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