The subject matter of the Article concerned the national broadcaster the BBC. It is a subject of inherently substantial interest to those running, employed by, and working with the BBC and others working in television and journalism in this jurisdiction. It is to be inferred that it was also of interest to the funders of BBC Africa Eye. The Defendant's allegations have, as was reasonably foreseeable, permeated throughout the BBC in London, as I shall explain in a moment.
I accept C's evidence that D's libel has had a very serious impact on him both professionally and personally and caused him serious harm and distress. His witness statement adopts and develops the particulars of harm pleaded in the PoC, and I accept both in their entirety. The following are some particular points.
At [13] of his witness statement he said:
"I cannot overstate how horrendous this ordeal has been for me and my family. Unfortunately, many people, if not most, have a 'no smoke without fire' attitude towards allegations of this nature. It does not help that some people think that legal proceedings are just a way to cover up wrongdoing. Even now that I have a judgment in my favour, I have no closure and no real vindication from the false and defamatory statements Mr Hundeyin has made against me." By their very nature D's allegation were likely to (and unfortunately have) had a detrimental impact on C's career. Media companies and television production companies were highly likely to avoid the risks inherent in engaging him because of the risk of adverse publicity (however unwarranted) if he is connected to a project. Further, they were likely to, and did, affect C's perceived suitability to work on projects concerned with exposing sexual abuse and similar human rights issues. These are subjects which have been a focus of his work and on which he wants to continue to work. He said at [15]-[16] of his witness statement:
"15. Through my work as a journalist, I have covered many stories of women bravely speaking up against predatory men. I am dedicated to telling such stories and my reporting has contributed to important public discourse around the so-called 'me too' movement, –such as the Sex for Grades investigation in 2019, which led to changes in the law around sexual harassment in Nigeria, and my Like.Share.Kill investigation in 2018, which exposed failings in Facebook's safeguarding policies. Mr Hundeyin's defamatory allegations completely subverted my position within this discourse. He falsely accused me of abusing my position in order to sexually exploit a female colleague and take advantage of her. Accusing a man of having an unprofessional sexual relationship with a female colleague is amongst the most damaging allegations that can be made in a modern professional environment. More damaging still, in my case, is that Mr Hundeyin claimed it was a junior colleague – Ms Kiki Mordi - who had first come to the BBC as a source speaking on the record about suffering sexual abuse. 16. The Defendant's story is a complete fabrication, designed – in my view - to cause me maximum damage. He took my public image as a conscientious journalist with a track record for helping vulnerable people and destroyed it. His false allegations in the Article, in which he accused me of lying, manipulating and exploiting a young woman, sought to turn me into one of the monsters I have fought so hard to expose through my work. He threw me into a bizarre dystopian nightmare, fuelled by his relentless retweeting and discussion forums about the Article ... In some posts, he was vitriolic, sexist towards my colleague and intentionally humiliating, referring to her genitals and posting a crude sexualised meme video … His followers indulged in this content with relish, sharing, commenting, and piling in on the abuse. I have faced casual trolling online before. But nothing as targeted and explosive as Mr Hundeyin's onslaught. His profile, the reach of his attack, and the defamatory meaning of his Article made it impossible for me to ignore this or walk away." In his witness statement C listed important and high-profile media figures who follow D on social media. They all work for organisations which are potential sources of work for C. Further, one prominent figure in journalism and former BBC executive, Marcus Ryder MBE, now the Head of External Consultancies at the Sir Lenny Henry Centre for Media Diversity, commented publicly on the Article in a tweet, saying:
"The BBC is either tacitly admitting that the allegations are right, and/or they don't think one of the most respected journalists in Africa deserves a response." In another tweet he described D as 'one of the best investigative journalists in Africa'.
Another example of professional impact given by C is that in July 2024 when he met a BBC employee about a forthcoming documentary he had produced, she told him that she had read the Article. C commented that his belief and assumption is that many new individuals who meet him in the industry – and carry out moderately in depth research of his background and reputation – consume the false material in the Article. There is other evidence of C being directly questioned by BBC colleagues about whether the allegations were true.
At [26] of his witness statement C gave another specific example of the Article impacting on his work. In September 2023, he contacted a source in the UK for a story relating to a cult formed by a religious leader. The source went on TikTok and asked her audience if she should talk to C. One of her followers then posted a link to the Article in the comments, which was followed by other comments from members of the public advising her not to trust him. C says that he cannot know how many times something similar has happened.
Further evidence about the detrimental impact on C's career is at [28]-[29] of his statement where he describes how, after the publication of the Article, the BBC cancelled a podcast he had spent months working on about the investigation which led to the 'Sex for Grades' film. He described this is a 'devastating career setback'.
He went on at [30]-[32]:
"30. At work in London, things grew steadily worse between 22 September and October 2022 – as Mr Hundeyin aggressively promoted his defamatory statements about me through his popular Twitter account … which is followed by numerous BBC staff members. Two senior BBC managers, Marc Perkins and Tom Watson, pulled me aside separately and asked me if I had engaged in an unprofessional sexual manner with Ms Mordi. They told me they believed me, but I know rumours continued to circulate internally based on later encounters I had with colleagues. 31. During this period colleagues approached me – such as the BBC Populations reporter and the BBC News West Africa correspondent - and asked me to explain what had happened, prompting agonising conversations, trying to prove to those with no context that it was a complete fabrication. Those that did not know me began to ask questions about the Article as well, and appeared to believe it, despite its total lack of substance. Around December 2022, my editor Mr Watson told me a senior reporter approached him about the Article and said 'surely something funny' must have happened. I asked colleagues I trusted to help me fight these rumours, but it did little to alter my strong inclination that many people were forming new and negative opinions of me. 32. To this day, there are many colleagues I no longer feel comfortable working with or seeing in the office on account of hearing that they believe Mr Hundeyin's Article. I operate in a silo at work, among a small group of people I trust, but am alienated from a far wider group I once happily collaborated and worked with." He went on describe an internal investigation carried out by the BBC into whether the allegations in the Article were true or not. He was excluded from the investigation, and comments, 'this was an upsetting and confusing chain of events – that indicated the impact of Mr Hundeyin's allegations within my place of employment.' Despite being cleared by the investigation, he said, 'the rumours never died'. He went on:
"To those who do not know me or know there is nothing in the defamatory allegations, my innocence has never been established. I have faced two years of unpleasant and unfounded whispers – coupled with multiple excruciating conversations with colleagues, forcing me to explain the falsity of the allegations. I do not know if people have believed my protestations. I do not know the attitudes of those who have not spoken with me. Having once been a huge source of inspiration, work in the London office has become suffocating. I no longer enjoy it and feel utterly trapped by my circumstances." Later, he described how the Article has harmed his ability to utilise social media, which is vital to a journalist's work, as he explains. The BBC told him to minimise his social media presence. This means that without an active and thriving social media presence, career avenues, such as becoming a BBC reporter (different from his current role as producer and director), which requires public engagement, a good outward reputation and a large social media following, are closed off for him (at [40]).
Later in his statement C described the impact which D's Article has had on his wife. As I commented during the hearing, as well as harming C professionally, D's false allegations of sexual misconduct plainly had the capacity to harm him personally in terms of his relationships with his wife and family. Fortunately, they do not appear to have done so – C's wife was present in court and is plainly a great support to him – but they could easily have done.
At [49]-[50] C gave further details of the personal impact upon him which the Article has had. I do not need to set out the details of this, but I accept that it has been profound in a number of different ways.
I should also set out C's evidence as what he thinks D's motivation probably was in writing his false Article:
"55. On 19 September 2022, shortly before Mr Hundeyin published his article, his wife 'Oge' posted two tweets about the satisfaction of achieving, and I quote, 'revenge.' … Mr Hundeyin's motivations, in my opinion, were fuelled by a desire to help his wife settle scores with people she didn't like at the BBC – by attacking their reputations with intentionally false allegations. It's telling that Mr Hundeyin never disclosed his relationship with Oge in his Article, despite mentioning her many times, and that (to the best of my knowledge) he has never mentioned it publicly. He confirmed their relationship in his response to the letter of claim." Turning to other matters, as I explained earlier, the impact on C is affected by the extent to which D is regarded as authoritative and credible. There is no doubt that, on the evidence, D is regarded as a serious and authoritative journalist and that he has a high public profile. He has contributed to extremely well-known and prestigious publications. As well as the description of D given by Mr Ryder which I quoted earlier, in his oral evidence, C explained to me that D was described by Chimamanda Ngozi Adichie, a well-known Nigerian author, as being one of Africa's 'greatest journalists'. As a consequence, there can be no doubt that there are many who will have taken at face value the truth of the false allegations made by D in his Article given his status and reputation.
In terms of the extent of publication of the Article, I conclude that it was very substantial indeed. D has many followers on Substack who would (and still do) have access to the Article, and it was further promoted by D on Twitter, where, as I have said, D had more than half a million followers. C only seeks to recover for publication within this jurisdiction, and it is not possible to arrive at precise figures, but Ms Wilson invited me to conclude on the evidence that the Article would have been read by at least 100,000 readers, and possibly several multiples of that. I would not disagree with that assessment. At [18] of his statement C said:
"I worked with a colleague to run an analysis of the defamatory Article, and its associated hashtags and tweets by Mr Hundeyin, to see how far it had spread between 27 September and 31 October 2022. This analysis suggested the content had received more than 40 million online impressions during this period (which are calculated by tracking the total number of times the content was displayed across Twitter on users' feeds and on search results). A large percentage of these would have been abroad, but a very significant proportion of Mr Hundeyin's followers are in England and Wales. He was educated here, has been invited to speak publicly here … and he's launched two books here – which are sold in British bookstores." I also consider that this is case where there will have been percolation of D's allegations. In Slipper v British Broadcasting Corporation [1991] QB 283, 300, Bingham LJ as he then was said:
"Defamatory statements are objectionable not least because of their propensity to percolate through underground channels and contaminate hidden springs." As to this, [19.3.4]-[19.3.6] of the PoC aver as follows, which I accept:
"19.3.4. The Defendant hosted a Twitter space discussion on the Article on 26 September 2022 to which more than 24,000 people tuned in. It is to be inferred that this prompted further discussion of the allegations complained of and the Claimant relies upon the grapevine effect. 19.3.5. Further on 26 September 2022, the Defendant distributed a link to his Article on tryflok.com via Twitter with the words "Who watches the watchers?". That tweet was retweeted at least 1,854 times and quote-tweeted at least 109 times. 19.3.6. On 27 September 2022, the Defendant held another session on Twitter space to which more than 43,000 people tuned in. The second sentence of paragraph 19.3.4 above is repeated." I turn to the question of aggravation. I have no doubt this is an appropriate case for an award of aggravated damages because of D's behaviour following publication of the Article. There is ample evidence about this to support an award of aggravated damages. I have referred to some of this already, such as D seeking to goad C and Ms Mordi into suing him. I can also quote [21.4]-[21.6] of the PoC:
"21.4 Despite the wholly unfounded nature of the Defendant's allegations, the Claimant has been compelled to respond to them in conversations with his commissioning editor, editor and other colleagues (as to which paragraph 19.5 above is repeated) – conversations which were inherently embarrassing. The Claimant was in a long-term relationship and was recently married and to have to address an allegation that he had had a sexual relationship with a reporter on the documentary and promoted her as a result was deeply uncomfortable. 21.5. The Defendant followed up the Article by sending the Claimant an aggressive and vile email on 30 September 2022 in which he said "You could have come clean by yourself. I warned you not to play with me. Congratulations. Hope the pussy was worth it." The Claimant, understandably, found that offensive and concerning. 21.6. The Defendant also followed up the Article with a torrent of social media activity which directly or indirectly targeted and mocked the Claimant and in which he repeated his defamatory allegations. The Claimant was deeply concerned by the Defendant's actions. The Claimant understood, and reasonably so, from the content, tone, and frequency of the Defendant's social media activity that the Defendant was motivated to keep his allegations in the public eye and to damage the Claimant, regardless of the falsity of his allegations. Further, the Claimant understands that the Defendant achieved that aim because, to the best of the Claimant's knowledge and belief, between 26 September and 2 October 2022, the Defendant's tweets containing the Article and/or references to the Claimant and/or to Ms Mordi and/or to "Sex for Grades" and the BBC had more than 48 million impressions and, it is to be inferred that, of the vast number of Twitter users reached by the Defendant, many were in the jurisdiction." Further, at [21.11.2], [21.2.4]
"21.11.2. On 30 September 2022, the Defendant tweeted "Hi @kikimordi. I'm sure you never thought this video of you and @CNorthcott1 would ever surface, but that why real journalism will never die when people like me are around. Your 'career' is over you glory hunting, honey trapping fraud!' and included a video showing the Claimant and Ms Mordi climbing onto the base of a statue in Trafalgar Square. The video had been taken by the Claimant's then girlfriend, who he has since married, one evening in 2019 when they had taken Ms Mordi out while she was visiting London. The Claimant had shared the video with the Sex for Grades team on WhatsApp. Ms Mordi had posted the same video on her Instagram account in late 2019 or early 2020. The video showed nothing to corroborate the Defendant's allegations of an inappropriate sexual relationship. Despite that, he immediately followed the above tweet with another containing a video of sexualised dancing and the words "Later that night…". In posting that content the Defendant knew (because it was obvious) that it did not support his defamatory allegation or he was reckless as to the falsity of his tweets. … 21.11.4 On 30 September 2022, the Defendant tweeted in response to the International Center For Journalists statement in defence of Ms Mordi. The tweet contained the video taken in Trafalgar Square referred to in paragraph 21.11.2 above and said '…Congratulations on sacrificing all of your credibility on the altar of a fraud who used sex to buy her way into a career!' The final sentence of paragraph 21.11.2 above is repeated. 21.11.5 On 30 September 2022, the Defendant tweeted (in a new thread in response to doubts being expressed by other Twitter users about the evidential value of the Trafalgar Square video) "If you're expecting me to upload a sextape to Twitter or something, you can go jump in a well somewhere. The accusation was 'inappropriate behaviour with a workplace superior.' The existing video proves that. If that's not enough for you, that is your personal problem." The final sentence of paragraph 21.11.2 above is repeated. 21.11.6. On 1 October 2022, in a tweet with a link to Ms Mordi's account, the Defendant referred again to the Trafalgar Square video and dragged the Claimant's wife into his trolling of the Claimant and Ms Mordi, by tweeting "'nO sHreD oF evidence' says this pathetic liar who was even lying that the person who recorded the video I posted yesterday was Charlie's wife – who wasn't even in the UK at the time …" The Claimant's wife had taken the video, was in the UK at the time, and the Defendant had no grounds for stating otherwise. He demonstrated a total disregard for truth." All of D's behaviour post-publication comfortably falls within the principles in relation to aggravated damages that I outlined earlier. D, having seriously libelled C, then embarked upon a campaign of trolling and persecution in a manner calculated to cause C and Ms Mordi maximum distress and damage. Moreover, he has failed to take down the Article as ordered by this court in July.
With all of these aspects of the evidence in mind, I turn to the appropriate award in this case.
Disposal
There will accordingly be judgment for C on the terms set out above. I invite Ms Wilson to draw up an appropriate order and make submissions in writing on costs. |