I The First Interview, Weaponisation, Imcomplete Data, and the Bruise Photograph | [789] | |
II The Next Steps | [832] | |
III The Second Interview – 2 February 2021 | [843] | |
IV Further Steps Before Broadcast | [849] | |
V Seeking Comment | [862] | |
VI The Treatment of the Government Response | [875] | |
VII Statutory Declaration | [886] | |
VIII The Broadcast | [889] | |
J.4 The Position of Ms Wilkinson | [899] | |
K THE SECION 30 DEFENCE | [901] | |
K.1 Introduction | [901] | |
K.2 The Proper Construction of Section 30 | [909] | |
I The Respondent's Submissions | [909] | |
II Conclusion on Construction Issue | [919] | |
K.3 Introduction and the General Approach of the Respondents | [922] | |
K.4 Why the Network Ten Conduct was not Reasonable | [936] | |
K.5 Ms Wilkinson: Distinguishing Matters and an Evaluation | [938] | |
L OTHER DEFENCES | [964] | |
L.1 General Observations | [964] | |
L.2 Common Law Justifications | [965] | |
L.3 Lange Qualified Privilege | [967] | |
L.4 Common Law Qualified Privilege | [968] | |
M DAMAGES AND OTHER RELIEF | [971] | |
M.1 Introduction | [971] | |
M.2 General Observations | [976] | |
M.3 Three Particular Issues as to Ordinary Compensatory Damages | [980] | |
I No Damages or Nominal Damages | [981] | |
II The English Cases on Abuse of Process by a Claimant | [989] | |
III How to Use Evidence of Misconduct | [998] |
Lehrmann v Network Ten Pty Limited (Trial Judgment) [2024] FCA 369
6