Document 0Lj2eJmzwZOaMaa3dwK4xzOYn

1 undercoat sealer by a manufacturer or distributor other than itself, to any of the following entities: 2 (a) Chrysler-Plymouth Corp.; 3 (b) Ford Motor Company; (c) General Motors; 4 (d) American Motors; (e) Nissan Motors; 5 (f) Mitsubishi Motor Car Division; (g) Volkswagon; 6 (h) British Leyland; (i) Sears & Roebuck. 7 RESPONSE TO INTERROGATORY NO. 116: 8 See Wagner's response to Interrogatory No. 111. 9 INTERROGATORY NO. 117: 10 If the answer to any part of Interrogatory No. 116 is 11 affirmative, please state: 12 (a) the identities of each manufacturer or dis tributor and the above-named entity which received the 13 automobile undercoat sealer; 14 (b) the date(s) of each shipment, sale or dis tribution of automobile undercoat sealer for which 15 defendant has data or information; 16 (c) the quantity and type, including trade or brand name, of the automobile undercoat sealer 17 shipped, sold or distributed to each of the above- named entities. 18 RESPONSE TO INTERROGATORY NO. 117: 19 See Wagner's response to Interrogatory No. 116. 20 INTERROGATORY NO. 118: 21 At any time during the period 1948 to 1978, has defen 22 dant manufactured automobile brake linings or brake assemblies? If so, please state: 23 (a) the trade or brand name(s) under which the 24 brake linings or brake assemblies were marketed; 25 (b) the years during which the brake linings or brake assemblies, under each trade or brand name, were 26 manufactured; 27 (c) the date each product was withdrawn from the market, if such is the case; 28 44