Document 1Qz91VKO7yvMOMmY2Q9kYOz05
UC 149-2
METALS DIVISION
P.O. BOX 579 - 4625 ROYAL AVE., NIAGARA FALLS, NEW YORK 14302
to (Nam*) Division
Location
copy to
Mr. R. W, Shiffler UCC - Chemicals
Rlfl. 343
Saw Mill River Road, Rte. 100C Tarrytown, NY 10591
Messrs. File
R. E. Byrne, Jr.
G. L. Dickson E. J. Kleber R. L. Schult R. L. Strano / W. C. Thurber1''
Dat* originating Dept.
August 25, 1976 "Calidria" Asbestos
Answering letter date
Enclosed is information from our files on the hazards of asbestos from brake linings. Most of this applies to brake operation, not relining. I have contacted the AIA and they will send you several reports which are referenced in the literature. Most of the reports are by "environmentalists" and are biased against asbestos. Asbestos is a potential hazard to brake re-liners but the job can be done safely and in compliance with government regulations.
We would be glad to work with Delco-Morain on the problem. Hank Strano handles General Motors for the Metals Division (except asbestos) and has been instrumental in having them evaluate our products in several applications, including brake linings.
At your discretion and convenience, we would be glad to meet with DelcoMorain people in Dayton to help provide a solution to their problem.
JLMrdal Enclosures
UCC 008591