Disclosure and inspection of documents – Order for disclosure. The Commercial Court allowed the second defendant's application for the discharge of a Norwich Pharmacal order that had been made against the defendants, and which required them to disclose information relating to an alleged plot to discredit, among others, the fourth claimant company. The court held that there had been very serious failures of the duty to make full and frank disclosure of material facts, and the claimants had failed to demonstrate that the information sought had been required for a legitimate purpose.