Document 1g1zbzKmrKXRvKONnMbLXByEa
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Wm. Papageorge - Glenn Brown Trial Testimony 10/28/91 P.M. 1 (Ms. Olliges replaced Ms. Carter.) 2 THE COURT: Ladies and gentlemen, thank you 3 for waiting. Sorry for the delay. Mr. Kotoske, you may 4 continue. 5 MR. KOTOSKE: Plaintiffs call as their next 6 witness William Papageorge. 7 (Mr. Papageorge was sworn by the clerk. 8 THE COURTJo : Proceed. 9
10 WILLIAM PAPAGEORGE, 11 of lawful age, having been first duly sworn, testified 12 as follows:
13 DIRECT EXAMINATION 14 QUESTIONS BY MR. KOTOSKE:
15 Q. Mr. Papageorge, do you still work at
16 Monsanto? 17 A. I do not.
18 Q. When did you quit or retire or terminate?
19 A. My last working day was Decembejo r 31st, 1986
20 Q. And how is it that you are the corporate 21 representative in this trial? 22 A. I don't know that I know, sir. You'll have
23 to ask the attorneys. I can only guess. 24 Q. (Inaudible.) Are you being paid for your 25 time?
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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1 A. I do not get paid for testimony as a fact
2 witness.
3 Q. Aside from all that, is Monsanto paying you
p4
for being
in this trial?
5 A. Monsanto is not. I have an agreement with
6 the law firm that works with Monsanto.
7 Q. To be paid?
8 A. To be -- Yeah. The agreement does provide
9 for paying me for helping out on PCB cases.
10 Q. Would you mind telling us what your hourly
11 rate is?
12 A. It's $150 an hour.
13 Q. And has that been true since you left the
14 company in '86?
15 p
A. I'm trying to remember. No. The first year
16 I did not have any arrangement, and following that, as
17 best I recall, it was $125 an hour.
18 Q. And it's gone up?
19 A. It's gone up this past year.
20 Q. About how much time have you spent consulting
21 with Monsanto (inaudible) on PCB cases?
22 MR. CARNEY: Your Honor, could we approach
23 the bench?
24 (A bench conferjo ence was held.)
25 THE COURT: You may proceed, sir.
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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1 Q. How much money has Monsanto paid you in this 2 case? How much money -- Can you hear me? 3 A. Yes, I can. Yes. 4 UNKNOWN JUROR: You need to speak up a 5 little. 6 Q. How much money has Monsanto paid you in this 7 case? 8 A. I don't have an accurate count in mind. As 9 best I can re]o call, it's about 20 hours so far.
10 Q. Not including the trial? 11 A. That is correct. 12 Q. And you've been here for the last two weeks
13 and will be throughout the trial? 14 A. I expect to be, yes, sir. 15 Q. Do you have a pension from Monsanto? 16 A. I do. 17 Q. Medical benefits and dental benefits? 18 A. Just a medical -- Medicare supplement.
p Q.19 And you have an interest in seeing Monsanto
20 win this case; do you not? 21 A. Certainly. 22 Q. All right. Now, let's talk about your
23 educational background. Would you tell us where you went 24 to college? That's what I'm interested in. Did you 25 attend college?
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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4 1 A. I did. I received my Bachelor of Science
2 degree in chemical engineering from Washington University
3 in l]p 943. I received from that same university a Master of
4 Science degree in chemical engineering in 1947. And I
5 also earned about 12 credits toward a Doctorate of Science
6 degree at Oklahoma A & M, now known as Oklahoma State
7 University.
8 Q. Now, you're not a medical doctor?
9 A. That is correct.
10 Q. You don't offer any opinions here in this
11 trial about medical toxicology?
p12
A.
I don't
propose to, no.
13 Q. You don't propose to be an expert in
14 toxicology?
15 A. That is correct.
16 Q. I'd like to start with your work history and
17 the job you had just before you joined Monsanto in 1951.
18 Tell me about that job.
19 A. Just before 1951, I was with the Phillips
20 Petroleum Company in Bartlesville, Oklahoma, working on
21 two different types of assignments. The first two years
22 of a four-year period I was working on research to find
23 better ways to drill for oil wells and also better ways to
24 get oil out of wells that were pretty well spent. In
25 other words, to extract the last bit of oil still in the
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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1 ground. The last two years I was in the design
2 department, designing equipment for making gasolines or
3 gasoline fractions that are blended later to make the
4 product.
p5 Q. Did part of your duties with that company
6 include the designing of equipment?
7 A. Yes. The last two years.
8 Q. Then in 1951 -- I'm going to interrupt
9 myself. I've never taken your deposition in this case;
10 have I?
11 A. That is correct.
12 Q. In fact, you've never seen me before this
13 trial?
14 A. That is correct. We've never met.
15 Q. Then in 1951 you joinjo ed Monsanto?
16 A. I did.
17 Q. Tell us whatyour first job was at Monsanto.
18 A. My first job was designing equipment to be
19 used in the manufacture of a chemical product at a plant
20 located here in St. Louis on Second Street.
21 Q. And what were they making at that -- What was
22 the chemical that was being manufactured?
23 A. Of theunit I was designing or --
24
25 p
Q. Yes. A. It was a chemical called phthalic, that's
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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1 p-h-t-h-a-l-i-c, anhydride, which is a chemical that is 2 used in making plastics or plastic softeners or used in 3 paint. 4 Q. And in 1953 you got a promotion; isn't that 5 correct? 6 A. In 1953 I would suggest it was more of a 7 lateral move from design engineering over to production 8 supervising. I was assigned a part of Monsanto's planjo t 9 that made a chemical.
10 Q. And you had a supervisory capacity at that 11 time? 12 A. Yes . 13 Q. The (inaudible) at that time was making
14 chemicals? 15 A. That is correct.
16 Q. Not PCBs?
17 A. That is correct.
18 Q. At some point in time you became assigned to
19 the Queeny Plant. Can you -- Could you spell that for the
20 reporter?
21 p A. Q-u-e-e-n-y.
22 Q. Where is that plant located?
23 A. 1700 South Second Street, St. Louis.
24 Q. And were there PCBs in that plant?
25 A. Yes .
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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1 Q. And I want to know (inaudible) in the plants.
2 Were you making them, or what were you doing?
3 A. They were certainly in the electrical
4 equipment, the transformers and capacitors used in the
5 plantjo to distribute electricity. They were also present
6 in fluids used in some of the machinery. For example, in
7 compressors as an hydraulic fluid. They were present in
8 some systems used for heating chemicals, as heat transfer
9 fluids. They were also present as an ingredient. One of
10 the departments at the plant was given the assignment of
11 taking PCBs and other ingredients and blending them to
12 produce an industrial hydraulic fluid which w]p as shipped
13 from that plant.
14 Q. This hydraulic fluid was used in machinery
15 throughout the United States; was it not?
16 A. Yes, sir.
17 Q. And one piece of machinery comes to mind is a
18 forklift. Would that be the type of hydraulic fluid that
19 you're talking about?
20 A. No. The --
21 Q. What I need is some examples, if you will, of
22 the type of equipment that the PCB mixjo ture was used in.
23 A. This hydraulic-- This particularmixture?
24 Q. Yes.
25
A.
I'll try tothink.
It was used in some
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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1 conveying systems. It was used in compressors that I
2 mentioned earlier. That's all that comes to mind at the
3 moment. Oh, used in some --
4 Q. That's fine.
5 A. That's all that I can really think of.
6 Q. Just so we know. Withjo respect to that
7 (inaudible), when you sold it did it have a warning on it
8 that would warn people of the dangerous consequences of
9 exposure to PCBs?
10 A. It has cautionary words.
11 Q. What wording?
12 A. I don't propose to recall every word, but to
13 the effect that fumes should not be breathed for long
14 periods of time or repeatedly, that the material should
15 not be allowed on the skin for too lon]p g a period of time,
16 that if clothes are dirty with the material they should be
17 laundered before re-use. That kind of statement.
18 Q. Do those warning labels still exist?
19 A. I suppose they do. I haven't seen them in
20 many years, though.
21 Q. Would the best source of those warning
22 labels, if there were warning labels, be in the hands of
23 Monsanto?
p24
A.
I would -- Yes. I would suggest
that would
25 be a good starting point.
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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1 Q. It would be the best place to find them; 2 isn't it? 3 A. I would think so, yes. 4 Q. Now, (inaudible) that hydraulic fluid prior 5 to 1953? 6 A. I didn't hear the first part. 7 Q. How long did you sell that hydraulic fluid 8 with PCB? 9 A. Prior to 1953?
10 Q. Yes .
p11 A. I As best I recall, that's about the time
12 that that fluid was invented and introduced into the
13 marketplace. 14 Q. About 1953? 15 A. In the middle '50's, yes, sir. 16 Q. All right. Now, still at the Queeny plant, 17 did there happen from time to time when one of the 18 capacitors would break or a transformer break that had 19 PCBs in them?
20 A. I personally do not remember any incident 21 where a transformer or a capacitor, to use your word, 22 broke.
23 Q. Maybe that's -- Did you ever have leakage of 24 a PCB oil (inaudible)? 25 A. I am not aware of any incident like that.
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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1 Q. Did any employee ever complain of any health 2 problems at the Queeny plant from exposure to PCB? 3 A. PCBs ? 4 Q. Yes. 5 A. Not to my knowledge, never. 6 l5 Q. Of course, that plant didn't manufacture 7 PCBs; did it? 8 A. That is correct. 9 Q. In 1953, you said there was a warning. What
10 were you aware of, you yourself, in 1953 of the dangerous 11 consequences, health consequences, from exposure to PCB?
12 MR. CARNEY: Your Honor, could we approach 13 the bench? 14 THE COURT: All right. 15 16 17 18 19
20 21 22
23 24 25
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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1 THE COURT: Restate it or you can have it
2 read back.
3 MR. KOTOSKE: I'll repeat it.
4 THE COURT: Repeat it, please.
5
Q.
(By Mr. Kotoske)
In 1953 what did you know
6 about the dangerous consequences from exposure to PCB in
7 the work place, outside of the work place, anyplace?
8 A. In 1953, nothing. I was never aware of any
9 such product. I hadn't been inv]p olved with it yet.
10 Q. And do you know if anybody in Monsanto -- Did
11 you discuss anything with anybody in Monsanto what the
12 dangerous consequences were?
13 A. At what time, sir?
14 Q. In 1953.
15 A. 1953, no.
16 Q. And as you sit here, you didn't know
17 anything?
18 A. That's correct.
19 Q. As the supervisor of that plant did you ever
20 consult with D]p r. Kelly, Emmet -- Do you know Emmet Kelly?
21 A. I do, yes.
22 Q. And you know (inaudible)?
23 A. Yes.
24 Q. Did you ever ask him, "Dr. Kelly, are there
25 any consequences from exposure to PCBs?"
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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1 A. No, sir. My job didn't involve that kind of
2 question.
3 Q. All right. You didn't talk to him?
4 A. That's right.
5 Q. Did you ]p talk to Elmer Wheeler, who is also an
6 assistant of Dr. Kelly, in 1953?
7 A. No.
8 Q. And nobody told you anything?
9 A. That is correct.
10 Q. How do you (inaudible) when you call
11 (inaudible)? Do you call Dr. Kelly in the medical
12 department?
13 A. He was the medical director of the medical
14 department.
15 Q. How about Mr. Wheeler?
16 A. Mr. Wheeljo er, he was at one time the assistant
17 director and later had the title manager-industrial
18 health.
19 Q. You want to refer to those fellows as the
20 medical section? Did Monsanto have a medical department?
21 A. Certainly.
22 Q. Did they have them all the way to 1953?
23 A. 1973, you say?
24 Q. 1953.
25
A.
'53?
'53, yes, sir.
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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1 Q. I'm goi]p ng to call that the medical 2 department. 3 A. That's all right with me. 4 Q. Now, how long did -- Let's come forward. I 5 want to come forward in time to 1957. You had a job 6 change in 1957. Tell us what it was and the nature of 7 your duties in 1957. 8 A. In 1957 I was assigned as a superintendent in 9 the maintenance department of the Queeny plant. 10 Q. And what did you supervise at that ]o plant? 11 A. I supervised the activities of about 400 12 mechanics, along with 30 or so foremen and a dozen or so 13 supervisors in their activities to either do construction 14 work in the plant or to maintain the equipment in the 15 plant. 16 Q. And did part of their jobs include repairing 17 malfunctioning equipment that contained PCBs? 18 A. Part of the job did include that, yes. 19 Q. That's the par]o t of the job I want to talk 20 about. How many people at the plant did you have that 21 were working with PCBs, that is, flushing or refilling
22 equipment that contained PCBs? Just roughly. It's a long
23 time ago. 24 A. I'll try to think of the numbers. There were 25 about 30 electricians that could at one time or another be
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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14 1 involved with the electrical equipment that contained
2 PCBs. There were about as ma]p ny maintenance men we had at 3 the plant called machinists who were involved with the 4 maintenance of pumps. Some of these pumps were involved 5 with pumping PCB type materials. And on occasion these 6 machinists would be involved working with those pumps. 7 There were about 60 pipefitters. These are individuals 8 who worked the pipelines and tubing. At sometime or other 9 these individuals would be working on pipelines or piping 10 systejp ms that contained PCBs. That, I believe, covers most 11 of the maintenance people that could at one time or other 12 be exposed to systems that had PCBs in them. 13 Q. Now, these were PCBs that were manufactured 14 by Monsanto? 15 A. Yes. 16 Q. At this point in time, now we're at 1957, 17 just about the time the Bloomington Westinghouse Electric 18 plant starts construction, for your information.
p19 A. I understand.
20 Q. What did you warn -- Pardon me. What did you 21 know about the dangerous consequences from exposure to 22 PCBs in 1957? 23 A. '57. I knew that repeated exposure to the 24 skin would cause a reddening of the skin. And in order to 25 help me describe it, I associate it with the reddening
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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15 1 that I had seen on chapped hands. In some cases the
2 cracked skin with maybe a little oozing of ]o blood for the 3 severer cases. I also knew that if an employee breathed 4 too much of the fumes, one of the early warning symptoms, 5 and this is what I called it in my own thinking, would be 6 a chest irritation, pretty much like a severe cold. Those 7 two things served as my guideline for watching out for 8 situations where PCBs were not used properly. 9 Q. What else did you know in 1957? 10 A. I knew that if the conditjo ions continued, in 11 other words, no correction was made for the red skin and 12 the chest, sore chest problems, if it continued, that you 13 could expect to see a condition referred to earlier as 14 chloracne, a skin condition. 15 Q. You were told that that was just a skin 16 condition? 17 A. That was a change in the skin brought about 18 by too much PCBs in the body. And I also was told that if 19 you continued to exposjo e a worker to these conditions, you 20 could end up affecting the liver of the person. 21 Q. Damage the liver; is that right? 22 A. That is correct. 23 Q. You knew all that in 1957? 24 A. Yes, sir. 25 Q. What else did you know in 1957?
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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2 3 4 5 6 7
9 10 11 12
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14 15 16 17 18 19 20 21 22 23 24 25
16
A. Continuing along those lines, I also knew
that if the conditions were corrected and the employee was
removed from wha]o tever was causing his skin condition and
chest raling, that the symptoms would disappear, and
they'd be back to normal.
Q. That's what you thought? That was your -
A. That was my understanding, yes, sir.
Q. Back in 1957?
A. Correct.
Q. In 1957 did you ever see a warning published
by Monsanto that warned of liver damage?
A. Q.
an article.
I recall reading some document. Okay. I thought you were going to refer to
Go ahead.
A. No. There is some document in Monsanto that
I recall reading, and I -- Gosh, this has been almost 30
years ago.
Q. I understand.
A. I just don't recall what the specific
document was. I do recall seeing it. And it seems to me
I got it from the plant physician. That would be the
place to get it]p .
Q. The question was -- the question was can you
recall -- and if you can't, say so -- a warning, a warning
of liver damage to people who come in contact with PCBs?
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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1 If you could answer that yes or no, I would appreciate it.
2 A. In writing or --
3 Q. Yes.
4 A. I've seen it in writing.
5 Q. Warning to that effect?
6 A. Yes, sir.
7
]o Q.
Now, who would be the best person to have
8 that warning? The company?
9 A. Well, certainly a representative of the
10 company. In this case, the more I think about it, the
11 more it was the plant physician.
12 Q. In his files or records we would be able
13 to -- would that be the best place to look for this
14 document?
15 A. Well, that's where I would start, but I don't
16 know where they are, if theyjo exist at all.
17 Q. You don't think at this point in time there
18 would still be some drums, 55-gallon drums or a tanker car
19 with that warning on it, do you?
20 A. Well, that kind of warning never appeared on
21 any container or tanker car.
22 Q. It didn't?
23 A. No.
24 Q. Where did they appear?
25 A. In the written document that I would -- I
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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18 1 would^) call it a brochure that described the PCBs and their
2 uses and their characteristics and proper methods of 3 handling. 4 Q. I better ask the question more artfully 5 because I'm having a problem. I'm talking about warnings 6 to employees, workers who handled PCBs. Did you ever see 7 a warning back in 1957 with respect to liver damage that 8 the user of PCBs would receive? 9 A. When you say did I see, no, but I do know 10 that at safety meetings held with the workers -11 Q. Please, Mr. Papageorge, you have a lawyer who 12 can cross-examine you. I just want answers to my 13 questions so we have an orderly presentation. I know 14 there's a lot of things you want to say, but there's a lot 15 I have to cover. 16 THE COURT: Let's move on. 17 MR. CARNEY: He was answering. He was asking 18 him about warnings. He was givinjo g them to him. He cut 19 him off in the middle of a sentence. 20 THE COURT: (Inaudible) 21 Q. (By Mr. Kotoske) Did you ever see warnings 22 to employees in 1957, and I'm talking about the users of 23 these products, for example, (inaudible) manufacturing, 24 and you've heard these people from Westinghouse testify. 25 I'm talking about those folks. Did you ever see a warning
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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1 back in 1957 that used thp e word "chloracne"? 2 A. In order for me to answer the way I think you 3 want me, help me with your definition of "warning." Are 4 you talking about a label?
5 Q. Yes .
6 A. No, I did not see such a label with that word 7 on it, "chloracne."
8 Q. Did you see such a label with "liver damage"?
9 A. I did not.
10 Q. But you knew at that point in time that
11 repeated exposjo ure as you've described would cause both 12 liver damage and chloracne? 13 A. Yes .
14 Q. In '57?
15 A. Yes .
16 Q. Now, I want to go forward in time to 1961.
17 You got a new job in 1961, did you not? 18 A. Yes, I believe I know which job --
19 Q. (inaudible) a little bit.
20 A. That would help.
21 Q. You became superintendent of technical
22 services ]o department in 1961. 23 A. Yes. I recall.
24 Q. What were your -- Just tell us what your job
25 was. We know you were a superintendent, but we don't know
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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20 1 of what and what your duties were.
2 A. That particular job, I was back in the plant 3 engineering department, and I had assigned to me anywhere 4 from six to a dozen engineers, depending on how much work 5 we had to do. We were expected t]p o study some of the 6 production processes in the plant and try to improve them. 7 They could either make the product better or lower cost or 8 safer, whatever it took in an engineering way to improve 9 the production units that we were assigned to. 10 Q. Now, in this job did you have any dealings 11 with PCBs? 12 A. No.
13 Q. That job continued till 1964. And you were
14 assigned to another plant?
p15 A. I'm sorry. There is another assignment in
16 there. 17 Q. I missed one? 18 A. Yes. This '61 -- The position I just 19 described, I believe, now that I think about it, occurred 20 sometime between '59 and '60-'61. In about 1961 I was 21 assigned still at the Queeny plant as a general 22 superintendent of shipping, utilities, warehousing. It 23 was a sort of a miscellaneous type of services that my 24 departmjo ent would provide the production people to help 25 them produce their products.
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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21 1 Q. When did you get assigned to the plant in
2 Sauget, Illinois? 3 A. In 1964. 4 Q. The date is 1964. What was the name of the 5 plant? 6 A. It's the William Krummrich plant, 7 K-r-u-m-m-r-i-c-h. 8 Q. And that plant is located where? 9 A. Sauget, Illinois.
10 l5 Q. That's not too far from here?
11 A. It's across the river. 12 Q. What did that plant make? 13 A. Oh, they made over a hundred different 14 chemical products. 15 Q. Let me cut right to the point. Did that 16 plant manufacture PCBs? 17 A. Yes. 18 Q. Now, aside from that plant that manufactured 19 PCBs across the river, what other plants did Monsanto have 20 that ma]p nufactured PCBs in the United States? 21 A. We had one additional plant, Anniston, 22 Alabama. 23 Q. I want to return to the Sauget, Illinois, 24 plant. Am I saying that correctly? 25 A. Yes. It's okay by me, yes. That's all
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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22 1 right.
2 Q. I don't think I am, but I'll take your word 3 for it. This plant made PCBs. What kinds of PCBs did it 4 make? 5 A. I ca]o n describe that, I guess, by using 6 Monsanto's trade names and numbers. 7 Q. Sure. 8 A. Would that help? They made Aroclor 1221, 9 Aroclor 1232, Aroclor 1242, Aroclor 1254, Aroclor 1260, 10 Aroclor 1016, and another one that was later referred to 11 as Capacitor 21. 12 Q. All those are PCBs? 13 A. They are mixtures of PCBs, yes. 14 Q. I want (inaudible) footnote in this 15 conversajo tion. Were all PCBs that you made at that time 16 manufactured roughly the same way? 17 A. Roughly, yes. 18 Q. They were similar products, is what I'm 19 trying to establish. I know they have different 20 chlorinations, but roughly they are all made the same way? 21 A. The same way. The temperatures and pressures 22 and process would change, but the procedure was the same. 23 Q. Is it fair to say they are sip milar products? 24 I don't want to (inaudible). They were PCB products? 25 A. Yes. That's all right.
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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23 1 Q. And do you (inaudible) similar?
2 A. Well, it depends on what you're talking about 3 in trying to make them similar. 4 Q. Well, the general manufacturing process, you 5 didn't have a specific plant for 1216 and a specific plant 6 for 1242, did you? 7 A. No, si]p r. 8 Q. They were all made in the same plant? 9 A. Yes, sir. 10 Q. At about the same time? 11 A. They would be scheduled throughout the year. 12 So many pounds would be produced and put in storage, and 13 then another type would be manufactured and so on. 14 Q. Now, in 1964 the Krummrich plant was making 15 PCBs. How many workers do you have in that plant that 16 were making PCBs?
p17 A. Oh, since I wasn't involved with that unit, I
18 really don't know 19 Q. Roughly. Can you give us some (inaudible)? 20 A. It would be a big, big guess on my part. 21 Q. Give us an estimate. Is it more than 10? 22 A. Yes. I would suggest it's about 40 people in 23 the operating unit and supported by about a dozen 24 maintenance people. 25 Q. And the workers that were making PCBs, did
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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1 they make all the different types of PCBs that you
2 mentioned or did you have special workers that made a
3 special type?
4 A. No. They all participated in making the
5 different PCBs.
6 Q. All right. In 1964 what did you know the
7 dangerous consequences from exposure to PCBs to be?
8 A. In 1964 I had the same knowledge that I
9 learned back in 1957.
10
Q.
Hadn'tjo
learned anything different?
11 A. That is correct.
12 Q. Now, in 1964 did you ever see a warning label
13 on a Monsanto drum of PCBs that warned workers like these
14 capacitor plaintiffs in this case that exposure to PCBs
15 could cause liver damage?
16 A. I did not.
17 Q. Did you ever see in 1964 a warning label to
18 the plaintiffs in this case, for example, that were
19 exposed to PCBs in the capacijo tor manufacturing process
20 that exposure to that chemical could cause chloracne?
21 A. I did not.
22 Q. How long did you remain there at that job as
23 superintendent of the plant that made PCBs?
24 A. Oh, I was never superintendent of the --
25 Q. I must be mistaken. What was your job?
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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25 1 A. I was one of six, general superintendent of
2 manufacturing.
p3 Q. Did the general manufacturing that you
4 supervised include the manufacturing of PCBs that you just 5 described? 6 A. It did not. 7 Q. Did that job belong to somebody else? 8 A. Yes. 9 Q. Who? 10 A. Paul Heisler. 11 Q. How do you spell his name? 12 A. H-e-i-s-l-e-r. 13 Q. Now, in 1965 -- And I'm coming forward in 14 time. In 19 65 did you have a]p job change? 15 A. I did.
16 Q. In 1965 what was your job?
17 A. I was assigned as plant manager of the 18 Anniston, Alabama, Monsanto plant.
19 Q. That plant made PCBs also?
20 A. It did. 21 Q. It was the only plant at that time in the 22 United States that made PCBs? 23 A. That is correct. 24 Q. Now, you run the second plant. Let's talk 25 about th]p at. How many -- First we need to know what your
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49450
26
1 title was.
2 A. Plant manager.
3 Q. For the whole plant this time, right?
4 A. That is correct.
5 Q. Promotion?
6 A. Yes .
7 Q. How many employees did that plant have?
8 A. At what point in time?
9 Q. Well, just when you come aboard.
10 A. About 150.
11
Qp .
Were they all making PCBs?
12 A. No.
13 Q. Now, let's just talk about that group of
14 employees that were making PCBs. How many of them did
15 that?
16 A. About 35. And that's about that number.
17 It's not exact.
18 Q. That's fair enough. Just to give us an idea.
19 What type of PCBs did they make at that plant?
20 A. They made the same types that I described
21 earlier for the]p Sauget, Illinois, plant.
22 Q. And the Sauget plant made the same as they
23 made in Anniston, Alabama?
24 A. That's right.
25 Q. Why did you have two plants that did that?
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49451
27
1 A. Primarily to make certain that we had a
2 second source of supply in the event some accident. Let's
3 say a fire occurred. That we could continue supplying our
4 customers.
5 Q. Did the sam]o e employees make all of the PCBs
6 that you described?
7 A. Yes, at the time.
8 Q. Were they all made (inaudible)? I don't mean
9 the same process, but a similar manufacturing process?
10 A. Yes.
11 Q. And were they all basically similar products,
12 PCB products?
13 A. They fit in that family, yes.
14 Q. All right. Now, this plant had protective
15 clothing that the peopjo le wore who were working with PCBs,
16 did it not?
17 A. Yes.
18 Q. Now, let's just spend a minute on the idea of
19 protective clothing that Monsanto workers used in
20 manufacturing PCBs. Did they use a rubber apron?
21 A. Not an apron, no, sir.
22 Q. What was it?
23 A. On occasion they had access to a rubber sort
24 of an over-pants and a rubber -- like a short raincoat
p25
that they
had.
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49452
28
1 Q. Rubber gear?
2
A.
Rubber gear. They hadaccess
to that, yes.
3 Q. How about gloves?
4 A. They had access to gloves, yes.
5 Q. Now, this is kind of a (inaudible). These
6 are not cloth working gloves, are they?
7 A. Well, they had access to those also
8 Q. Describe -- All right. (Inaudible)
9 Describe the various types of gloves t]p hat they had access
10 to.
11 A. They had the -- what I'm going to call the
12 cloth, canvas type glove. They had a glove which had a
13 plastic coating on it. They also had leather gloves. And
14 they also had a specialized rubber type of glove.
15 Q. Being (inaudible) to below the elbow?
16 A. There were two kind. There was a short cuff
17 and the higher cuff.
p18
Q.
Footwear. I want to talk about
footwear.
19 What kind of footwear did they use in making PCBs?
20 A. They were issued a work shoe, steel-toe
21 leather with an oil resistent sole. And when that was
22 damaged because of the exposure to oils and PCBs and what
23 have you, they would be replaced. In addition to that,
24 they had what we called at the plant a bootie, which is a
25 rubber -- looks like a winter over-shoe, which was made of
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49453
29
1 a rubberjo that was a little bit more resistent to PCBs than
2 the ordinary rubbers would be.
3 Q. Before we go on, I (inaudible) put a thought
4 in here. Did the workers at your plant experience this
5 situation where their shoes would deteriorate fairly
6 rapidly if they did not use protective footwear?
7 A. If they didn't use a protective footwear,
8 yes. Their shoes were not designed to withstand the PCBs.
9 So they would havejo to throw them away and get new ones.
10 Q. I want to move up the body. We have the
11 rubber gear, the booties and the gloves. What did they
12 wear on their face?
13 A. When appropriate, they would have available
14 to them what we call a respirator. It's a mask that
15 filters out chemicals.
16 Q. PCBs?
17 A. PCBs being one of them, yes, sir.
18 Q. And the fumes from PCBs?
19
]p A.
Yes.
20 Q. Did they have headgear?
21 A. Yes, we did. They had the cloth cap like a
22 baseball cap, and later this was replaced with the hard
23 hat.
24 Q. Okay. How long did you work at the Anniston
25 plant?
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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1 2 3 4
5]p 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25
30
A. About five years.
Q. That would bring us up to1970?
A. Correct.
Q.
Now, between 1965 and 1970
what were you
aware of as to the dangerous consequences from exposure to
PCBs? If it hasn't changed, say so. And if it has, if
you've learned more, tell us.
A. It hadn't really changed any. I just made
certain that I reviewed everything and reassured myself
that my understanding was correct, and it turned out it
was.
Q. We'll get to that in a minute. Up to 1965
when you go to Anniston -- Are you with me in the]p time?
A. I didn't hear that last word.
Q. Anniston, Alabama.
A. Yes.
Q. The other plant.
A. Yes.
Q. Up to that point in time did you ever see a
warning label on any drum, any tanker car, onanything
directed at the users like the plaintiffs in this case
that exposure to PCBs can cause liver damage?
A. No, I did not.
Q. p
Did you ever see a warning label that warned
people that were using PCBs that they could get chloracne?
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN {2\ TOWOLDMONOQ49455
31 1 MR. CARNEY: Your Honor, I take it we are 2 still talking about labels on drums and tanker cars? 3 THE COURT: Yes. 4 MR. CARNEY: Okay. 5 A. I did not.
6 Q. (By Mr. Kotoske) Now, in 1969 you ended your
7 tenure at the Anniston plant in Alabama. What hap ppened -8 Was it '69? 9 A. Through the end of '69, yes, sir.
10 Q. What was your next job?
11 A. I was appointed as manager-environmental 12 control, reporting back to St. Louis in the home offices 13 of Monsanto.
14 Q. Did you return to St. Louis or stay in
15 Alabama? 16 A. I returned to St. Louis.
17 Q. At the world headquarters?
18 A. Yes, sir.
19 p Q And the medical department was in the
20 headquarters (inaudible)? 21 A. Yes . 22 THE COURT: What was your title again? I'm 23 sorry. 24 THE WITNESS: Manager-environmental control. 25 THE COURT: Thank you.
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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32
1 Q. (By Mr. Kotoske) That job actually started
2 in January of '70, didn't it?
3 A. Yes, sir.
p4
Q.
Now, what
qualifications did you have with
5 the position that you were appointed to?
6 A. I don't quite know how to answer that, other
7 than I did have experience with the manufacture of PCBs
8 and the handling of PCBs and the disposal wastes from
9 PCBs, and I suppose my technical change has formed part of
10 my qualifications.
11 Q. Now, I want to return to the title of the
12 job. Tell me the title again.
13 A. Mp anager-environmental control.
14 Q. Was that a new job?
15 A. Yes, sir.
16 Q. Just created?
17 A. Yes, sir.
18 Q. About 1970?
19 A. Yes, sir.
20 Q. What caused Monsanto to create that job?
21 A. There were reports that PCBs were being found
22 in the environment. And as a result of those reports and
23 Monsanto's studies that confirmed that these reports wep re
24 valid, true, management saw a need to appoint somebody to
25 look into this situation. And that somebody turned out to
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2(
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33
1 be me.
2 Q. The job (inaudible)?
3 A. Yes, sir.
4 Q. Now, did those reports that you were
5 receiving about the environment also include animals,
6 birds, fish, rivers, streams?
7 A. The early reports, I don't recall them
8
including animals.]o
They did include the others that you
9 mentioned.
10 Q. And what did those reports, later confirmed
11 by Monsanto, illustrate?
12
A.
They illustrated thatPCBs that
contained
13 5 chlorines per PCB group or more were being found by the
14 analytical chemists in samples taken from rivers, streams,
15 fish, birds. That's it. We were able to confirm that
16 what they were seeing was in truth a PCB.
17 Q. Manufajo ctured by Monsanto?
18 A. Not necessarily. There wereseveral
19 worldwide producers.
20 Q. And where were the scientists finding these
21 PCBs? Globally?
22 A. Yes.
23 Q. Throughout the planet?
24 A. Well, there were some areas of the planet
25 that were not analyzed, but it certainly started up in
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49458
34 1 Sweden and down through Europe and in North America.
p Q.2 And you were finding, were you not, about
3 this time, not you, but the scientists, that animals, 4 birds, fish were dying from the toxicity of PCBs? 5 A. I don't remember any report that associated 6 the death of animals with exposure to PCBs. 7 Q. What PCB levels were you finding in the fish, 8 birds and animals in the early '70s? 9 A. I would have to review the literature. I 10 don't remember the numberjo s. 11 Q. In about the 1970's did you also find that 12 the peoplehad background levels now of the PCBs? 13 A. In 1970? 14 Q. Yes. 15 A. No. I don't recall any studythat 16 demonstrated a background level. 17 Q. You know now, do you not, that every one of 18 us has a background level of PCBs? 19 A. Oh, I don't know about every one ofus. Many 20 of us, but I don't know aboutjo every one of us. 21 Q. In order to carry out your job in connection 22 with the environmental concerns -- (Inaudible) interrupt 23 myself. Were you concerned at the same time about toxic 24 effects in humans from PCBs? 25 A. Well, certainly that question was raised, and
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49459
35
1 Monsanto tried to address it, yes.
2 Q. It was part of the environmental concern as
3 well, was it not? You're finding thesjo e levels in the fish
4 and streams, and people are eating the fish and so forth,
5 you were worried also about the human background levels of
6 PCBs ?
7 A. Exactly, yes.
Q. The two were inextricably intertwined?
9 A. Which two, sir?
10 Q. The environmental concerns, if you pull them
11 apart, and the human concern?
12 A. Well, I associate the environmental route to
13 the human ex]o posure is very important.
14 Q. Fine. Had you heard of the Yusho accident in
15 1970?
16 A. That's when I first heard of it, yes.
17 Q. What did you hear about it?
18 A. I heard that an incident had occurred in a
19 prefecture of Japan called Yusho in which an oil that was
20 intended for human consumption, human use, had been
21 contaminated with PCBs, and many cases of illnesses were
22 reported.
23
Q. Now, did those illnesses include heart
24 damage?
25 A. I don't remember heart damage.
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49460
36
1 Q. Lung damage?
2 A. No. Again, I don't remember lung damage. I
3 remember pigmentation, watery eyes, nausea, lack of
4 appetite, weakness, inability to sleep. Those are the
5 illnesses I recall being described.
6 Q. Dizziness. Do you recall thatone?
p7 A. I don't recall that, but --
8 Q. Joint pain and muscle pain?
9 A. I don't recall that either, but that's 30
10 years ago.
11 Q. Now, you knew that in the reports of the
12 Yusho incident. My question to you is did Monsanto ever
13 have a warning on its tankers or its drums to say
14 (inaudible) the people that were working with the PCBs,
15 for example, the plaintiffs in this, that exposure to PCBs
16 could cap use liver damage, chloracne, dizziness, vomiting
17 and the other symptoms that you just described? Did you
18 ever see a warning label in 1970 describing those
19 conditions as we have just discussed them?
20 A. I have not.
21 MR. KOTOSKE: Judge, can we go to the side
22 bar for just a minute?
23 THE COURT: Sure.
24 (A bench discussion was held.)
p25
Q.
(By Mr. Kotoske) I need to
change the
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49461
37 1 subject a little bit, but I want to stay in the same time
2 frame. We are in 1970. In this connection I would like 3 you to tell us what efforts did you undertake in this new 4 position -- I'm just going to call it environment 5 toxicology. Whatever you want to call it. 6 A. Environment is a better word, yes. 7 Q. Let's just call it that. What efforts 8 efforts did you undertake to be]o come acquainted with the 9 adverse health effects attendant to exposure to PCBs? 10 A. For which creatures? 11 Q. Anybody. 12 A. Any person or bird or -13 Q. (Inaudible) 14 A. Human? 15 Q. From the top of the chain to the bottom of 16 the chain. I just want to know what you did to try to 17 educate yourself on this score since Monsanto selected you 18 as the man to run thisjo program, right? 19 A. That is correct. Myinitial efforts were 20 concentrated on, I'm going to call it atutorial, where 21 Mr. Wheeler taught me the basic ideas concerning medical 22 and toxicology terms. He showed me the medical library. 23 He had copies of appropriate articles accumulated in a 24 book as thick as the St. Louis telephone directory. That 25 was my homework assignment. And I spent I don't know how
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49462
38
p1 many hours with him one-on-one where he coached me. In
2 addition to that, when the opportunity presented itself,
3 he would take me along when he visited individuals in that
4 field. For example --
5 Q. What field?
6 A. In the field of PCBs and health effects. For
7 example, he was able to take me along to visit individuals
8 that were involved with the Food and Drug Administration
9 where they discussed the ongoijo ng studies that Monsanto had
10 on PCBs and test animals. He was able to take me to visit
11 with government laboratories that were involved in testing
12 of fish and shrimp and the like. That in a general way
13 describes the overall program of my attempts to become
14 familiar with that part of the environmental problem.
15 Q. Now, you knew -- Strike that. Did you ever
16 learn from anyone that Monsanto itself as early as the
p17
early
'30s and late '30s, 1930's, four years before you
18 took this job, had conducted toxicity studies on animals
19 exposed to PCBs?
20 A. Certainly.
21 (Ms. Pape replaced Ms. Carter.)
22
23
24
25
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49463
39
1 Q. Did you read 'em?
2 A. Yes.
3 Q. And you were aware of the information that was
4 in the Drinker Study--I think you called 'em something else,
5 but studiesjo ?
6 A. I understand. I was made aware in '70, yes.
7 MR. KOTOSKE: I'm gonna (inaudible).
8 THE COURT: Want to take a break?
9 MR. KOTOSKE: Yeah.
10 THE COURT: All right. We'll take a ten-minute
11 break. Let's try to keep it to ten minutes if we can. Do
12 not discuss the case among yourselves or with others.
13 (A recess was taken, after which the
14 ]o
following proceedings were had. )
15 THE COURT: Proceed, please.
16 BY MR. KOTOSKE:
17 Q. In the 1970s when you assumed the new
18 job--this environmental job--to whom did you report?
19 A. It varied through the--are you talking about
20 the whole ten years--'70s--or 1970?
21 Q. '70s.
22 A. '70s?
23 Q. '70--I'm gonna go back--
24 THE REPORJo TER: Are you saying seven Ts?
25 THE WITNESS: '70s.
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49464
1
2 3 4 5 6 7
9 10 11 12 13 14 15 16 17
lp 8
19 20 21 22 23 24
25
40
THE REPORTER: Seven Ds?
THE COURT: '70.
Q. I'm gonna go back and fill in the year, but
this job for you stopped in about 1976, did it not?
A. I did, yes, sir.
Q. So we have a time frame. 1970 to 1976.
A. All right.
Q. But during that period of time, goip ng across
the board from the '70s to 1976, to whom did you report?
A. Initially I reported to Mr. Howard
Bergen--B-e-r-g-e-n.
Q. Now, you have to tell us the titles of these
gents in the company.
A. I'll try to remember them all. He was the
business director of the Functional Products Business Group.
Q. Was he on the executive committee?
A. No, sir. Q. All right.
A. Following that,
I was reporting to Mr. Wendell
Corey--C-o-r-e-y. And I believe he was director of
administration for Monsanto Industrial Chemicals Company, an
operating unit of Monsanto.
Q. Was he at the executive level of the company?
A. No, sir.
Q. All right.
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49465
41
p1 A. As best I recall, I was then reporting to
2 Robert Potter--P-o-t-t-e-r. I believe at that time he was 3 director of Specialty Chemicals. I'm not positive of that, 4 but that describes it fairly well. And that's it, as best I 5 recall. 6 Q. Did the president of the company know what you 7 you were doing? 8 A. Certainly. 9 Q. Did the vice-president 'stratosphere' of the 10 company know what you were doing?
r11 A. Wel^) 1 they knew what I was doing, but not
12 every detail, of course. 13 Q. I understand. I understand that. They 14 understood the thrust of what you were doing? 15 A. That is correct. 16 Q. At the very highest level of Monsanto? 17 A. Yes, sir. 18 Q. It's true, is it not, that in 19--that in 1970 19 there was discussions in the company to quit making PCBs 20 altogether?
21 1) A. Yes.
22 Q. Why? 23 A. The discussions regarding termination of 24 production and sales were centered around the environmental 25 presence. And it was decided among many of the thinkers in
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49466
42
1 Monsanto associated with this group of products that if
2 alternative materials could serve the same purpose, perhaps
3 the wisest thing to do is not produce these materials since
p4
they are
being found in the environment and that's not the
5 intended place for 'em.
6 Q. They were never there before you produced 'em;
7 is that right?
8 A. I can only guess to that. I have no other
9 reason to--to believe differently.
10 Q. PCBs are persistent, are they not?
11 THE REPORTER: They're what?
12 MR. KOTOSKE: Persistent.
13 A. Some of the members of the PCB fa]o mily are
14 persistent.
15 Q. That means they stay in the environment and
16 they stay in your body?
17 A. Well, I--I feel more comfortable with the
18 statement with the understanding that they stay in the
19 environment, because that's been demonstrated. I, not being
20 a medical person, I don't know how to describe the reference
21 to staying in the body. I'll have to go to a medical person
22 and ask that.
23 Q. What's the half-life of the PCB that Monsanto
24 manufactured?
25 A. I have never heard a scientifically-developed
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49467
43
1 answer to your question. It's rather difficult to arrive at 2 because the conditions throughout the world are not the 3 constant, but there have been speculation of something like a 4 generation, or some people say decades. Lacking a scientific 5 number, the rest is all g]p uesswork. 6 Q. And you've never been told by anybody at 7 Monsanto what the precise half-life of PCBs are? 8 A. That is correct.
9 Q. As far as you know, Monsanto doesn't even
10 know? 11 A. That is correct.
12 Q. Well, you didn't stop production in 1970, did
13 you? 14 A. No, sir.
15 Q. You kept on producing PCBs; is that right?
P16 A . For specific purposes, yes.
17 Q. Did you change your warning labels on the
18 drums and on the tanks? 19 A. Yes, we did.
20 Q. What did you say now?
21 A. We had a reference to the fact that these 22 materials---PCBs--were being found in the environment, that 23 they could be causing some harm to--these are not the exact 24 words
25 Q. I understand.
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49468
44 1 A. They could be causing some damage out there in
2 the environment. That every care should be taken in its 3 proper handling, shipment, use, disposal, and don't let it 4 get into the environment, or words to that effect. 5 Q. I understand. That was about 1971 or '72 you 6 did that? 7 A. No, this was in May of 1970 when that was 8 added to the containers. 9 Q. Now, at the time yo]o u changed the labels with 10 respect to the warning as to the environment, did you change 11 the warning with respect to the human health consequences 12 from exposure to PCBs? 13 A. No, there were no reference to health 14 consequences -- 15 Q. Thank you. 16 A. --on the label. 17 Q. The other day Dr. Kelly testified in this case
p18 concerning his letter of March 30th, 1970, when he said the
19 company had a duty to warn our people that there was gonna be 20 (inaudible) and legal overtones. Do you remember my reading 21 that? 22 A. Yes, I do. 23 Q. And then I said, what did you do about it, 24 Dr. Kelly. And he said he called you and you told him, 25 Dr. Kelly, you're behind the times --or words to that effect.
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49469
45 1 What had you done?
2 A. Up to the time that Dr. Kelljo y prepared that 3 note -- 4 Q. It was a letter. 5 A. That was a Monsanto memorandum as 6 distinguished from a letter sent to outside. Up to that 7 point, consideration had already been given and action 8 started on removing the use of PCBs in the paints that 9 Dr. Kelly was referring to. This was part of the overall 10 program that was later broadened for removal of PCBs from all 11 uses that are, by Monsjo anto' s definition, considered to be 12 open uses. 13 Q. Let's (inaudible) into that section of the 14 testimony. What are some of the open uses that Monsanto made 15 PCBs for? 16 A. I'll try to think of some of them. 17 Q. Just give us a half a dozen or so. 18 A. I'll try. It was used as an ingredient in 19 sealants and caulking, such as the type that's used in the 20 glass windows in the ]o skyscrapers. It's used as an ingredient 21 in special varnishes and paints. It's used as an ingredient 22 in the carbonless copy paper where the pencil breaks the 23 bubble and releases the ink and makes the copy. It was used 24 as a--we call that plasticide. This is a material added to 25 plastics to make them flexible. I'm sure there are other
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49470
1 2 3 4 5 6 7
9 10 11 12 13 14 15 16 17
p 18 19 20 21 22 23 24
25
46
uses; they just don't come to mind at the moment. Q. Those werp e examples of open uses--quote, open
uses ? A. That's what we called them. They were the
uses that when--when applied to a surface or to an article, it was beyond the control of the user as well as supplier.
Q. (Inaudible). What about closed systems? What did Monsanto understand by the phrase closed system?
A. We used that expression to describe those systems where the liquid--the PCBp s --along with other ingredients, were in containers that were sealed, or in piping systems that when properly maintained would not permit PCBs to leak out and get out of control. This included, under our initial thinking, the uses in the electrical equipment, the hydraulic fluid systems and the heat transfer systems. That was our initial understanding or definition.
Q. 63 percent of all PCBs that Monsanto produced in a year were used by the electrical industry; is that true?
A. That sounds like a good percentage, yes, sir. Q. How much of the PCBs in a year that Monsanto produced were used in the open applications? A. I'm gonna estimate on this and I'm gonna say about 15 percent. Q. And of that 15 percent of PCBs, once it was first put into its applications (inaudible) out of control?
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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47
1 A. Most--in those applications, yes.
2 Q. But you kept on making the PCBs for closed
3 systems, and it was not until 1972--two years later--that you
4 stopped selling PCBs altogether for open applications?
5 A. That's not correct.
6 Q. Which statement is not correct?
7 A. The 1972 date as you referred to the open
8 systems.
9 Q. Yes.
10 ]o
A. Unless we have a different definition of open
11 systems. The open systems that I described earlier were
12 terminated--the majority of them--in August of 1970. The
13 carbonless copy paper, because it's technologically very
14 difficult to find a replacement, took a little longer. And
15 as best I recall, we completed that by the end of the first
16 quarter of 1971--about March or April of '71.
17 Q. Yes. What aboutjo the other applications of
18 open--other open applications? When did you stop those?
19 A. I think that describes all of what I--what we
20 call open. Now, we had, as I mentioned, the hydraulic
21 systems and the heat transfer systems --
22 Q. When did you stop --
23 A. --that were, in our minds, closed systems.
24 But we found out they were difficult-to-control closed
25 systems, so we made another decisionjo to get out of those
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49472
48 1 closed systems that were difficult to control.
2 Q. When did you make that decision? 3 A. Oh, that was made starting in 19--late 1970 we 4 started reformulating the hydraulic fluids and got into a 5 program of changing out heat transfer systems with alternate 6 fluids. 7 Q. Did you start talking to the United States 8 government along about 1971 about the prop blem with the PCBs? 9 A. When you say you, it's me personally or 10 Monsanto? 11 Q. Monsanto. 12 A. Monsanto? Oh, Monsanto talked to the 13 government representatives--that was before I was assigned 14 this job--in the late '60s. 15 Q. When did you start talking to the federal 16 agencies ? 17 A. Right after I was assigned the manager of 18 Environmental Control job. Thip s would have been January, 19 February, 1970. 20 Q. Now, the IBT studies--do you know what I'm 21 talking about--the IBT Arochlor studies? 22 A. I believe I do, yes, sir.
23 Q. A man testified this morning about it
24 A. Yes, sir.
25 Q. Mr. Smith?
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49473
49 1 A. Yes, sir.
2 Q. Did you use those studies in your presentation 3 to the Fed]o eral Government about the toxicity of PCBs? 4 A. I used--when I was alone--traveling alone and 5 discussing PCBs with the representatives of the Government, I 6 used summaries prepared for me by Mr. Wheeler of Monsanto's 7 medical department. When Mr. Wheeler could join me, he, of 8 course, spoke for the medical department. I did not--I 9 didn't play that role. 10 Q. Did he have the studies with him?
p11 A. At what point in time?
12 Q. At any point in time. I want to be sure. The 13 studies that I'm talking about during this part of your cross 14 examination are the studies that were identified this morning 15 by Mr. Smith. And you heard his testimony? 16 A. I did. 17 Q. And they are comprised of three studies that 18 make up Exhibit No. 12. Maybe I should get Exhibit 12 for 19 you. Maybe I should do th]o at. Here they are. If you need to 20 look at 'em at all, Mr. Papageorge, I want you to take your 21 time, because I'm very interested in what you did with those 22 studies after you received 'em. 23 A. I'm familiar with the studies that are 24 described by this exhibit, yes, sir. 25 MR. KOTOSKE: For the record, that's
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49474
50 1 12--Plaintiff's 12. Did you rely on those studies when you
2 were talking top , for example, any federal agents about 3 controlling PCBs or the toxicity of PCBs? 4 A. Certainly. I hesitate because there were 5 increment studies or reports--one- or two-page summaries that 6 I was using during the period '70, '71, when this final 7 report was issued. I was not the one to share that with the 8 proper people in the Government. Mr. Wheeler did that. 9 Q. Now, let's (inaudible). Were you ever present^ 10 when Mr. Wheeler shared the results of those studies in 11 Exhibit 12 with the Federal Government? 12 A. I was in some instances, yes. 13 Q. How many instances? I don't want (inaudible). 14 It's not the point. I want to know how frequently Monsanto 15 relied on these studies. When I say those studies, for the 16 record, I mean Exhibit 12 during this part of the 17 examination. 18 A. I don't knojo w that I could describe it in terms 19 of frequency, but this is the only long-term 'feeding' study 20 data Monsanto had for many years. Therefore, it had to rely 21 on these reports and their conclusions. 22 Q. All right. How many different federal 23 agencies did you meet with when those studies were presented 24 as to the toxicity of PCBs? We know one was EPA; is that 25 right?
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49475
1
2 3 4 5 6 7
9 10
Vp 1
12 13 14 15 16 17 18 19 20 21 22 23 24 25
51
A. Yes, sir.]p Q. The next one was theFDA? A. That is correct. Q. And the FDA was trying to regulate PCBs in milk, fish and some other animals? A. I don't know about animals. Other food items. Q. They were trying to regulate the amount of PCBs that we were eating; is that true? A. That's true. Q. And they were trying to regulate in the milk that we were drinking? A. That's true. Q. Who else did youmeet with? A. I recall the Department of Agriculture representatives. Q. Why did you meet with them? What were they trying to regulate in PCBs? A. Well, the Department of Agriculture is involved with the quality of poultry and meat that the public consumes. Q. All r]p ight. And they were trying to regulate the amount of PCBs in cattle--food that we were eating? A. I don't know that they had reached a point of regulating, but they were interested in the information to determine whether they should regulate.
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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52
1 Q. And this regulation was (inaudible) designed 2 to prevent the amount of PCBs that humans got in their 3 system; isn't that true?
p4 A. When regulation was finally promulgated, if it
5 were, that was the intent, yes. 6 Q. Thank you. Did you actually use those 7 studies--may I have that stricken. When you were present 8 when Dr. Wheeler presented these studies, what did you hear 9 him say about the validity of the studies? 10 A. I don't know that the word validity ever was 11 used in the conversation. The report was represented as 12 sometjo hing Monsanto received from the laboratory, and it 13 concluded--it included the data and the conclusions. And we 14 offered it to them for their experts to review. 15 Q. Each of these federal agencies have copies of 16 those reports -- 17 A. Yes, sir. 18 Q. --in Exhibit 12? 19 A. Each of those that wediscussed. 20 Q. I understand. 21 A. Plus others that I personally w]p as not present 22 when these documents were given to them. 23 Q. Let's move ahead in time to the year 1972. By 24 this time in 1972, the Federal Government had formed a full 25 Federal Injury Agency Task Force on PCBs; isn't that true?
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49477
53
1 A. In 1972--let me --as I understood it, this
2 group had been formed in 1971.
3 Q. Now, I want the jury to know--can you describe
p4
the function of
this PCB task force?
5 A. I'll try. This group consisted of
6 representatives from many U.S. federal departments, agencies,
7 administrations that --for example, the Food and Drug
8 Administration person was there, the person from the
9 President's office of Science and Technology, the Council of
10 Environmental Quality, the Department of Agriculture, the
11 Department of Defense, the Department of Interiors, the
12 Department t of Commerce. That's not the complete --I' m giving
13 you an example of the types of the representatives that were
14 there. And they were all addressing PCBs and the
15 environment, trying to determine how each of their
16 departments and agencies might be involved or should be
17 involved and in what way.
18 Q. And they asked Monsanto to provide them--the
19 agency--with some toxic--toxicolog --information on the
p20
toxicity of
PCBs--how dangerous was it?
21 A. Yes, they did.
22 Q. And what did you give them in response?
23 A. By that time --let me see. In 1971, right
24 after the reports we just discussed were available to
25 Monsanto, most of the representatives of that group, or at
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49478
54
1 least their agencies, had received copies of these reports.
2 Q. Exhibit 12?
3 A. Exhibit 12.
4p
Q. In addition to that, Elmer Wheeler was invited
5 to attend one of their meetings. And I was along with him
6 and others, and Mr. Wheeler was given an opportunity to
7 discuss with this group what Monsanto knew about PCBs and the
8 health effects and animal testing.
9 Q. Now, with respect to health effects, you told
10 'em about chloracne?
11 A. Yes.
12 Q. Did you tell 'em about liver damp age?
13 A. Yes.
14 Q. Did you tell 'em about the results of the
15 Yusho study as you knew 'em?
16 A. Well, we discussed Yusho, but there were
17 people in that room that knew more about Yusho than we did.
18 Q. Now, with respect to the toxicological
19 information or toxicity of Aroclors, you gave the reports
20 from Exhibit 12?
21 A. Yes, plus others.
22 Q. Di]p d you give 'em the Drinker Studies that
23 Monsanto contracted for in the 1930s?
24 A. Yes, sir.
25 Q. But you still hadn't changed the warning label
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49479
p6
55
on tanker cars and the drums as to the human element or
effects with respect to humans?
A. That's true.
Q. Now, I want to move ahead in time to 1974. By
this time, there was a full-blown battle going on. On one side there was Monsanto and the electrical industry, and on
the other side, there was a government seeking to regulate
PCBs. Is that a fair statement? And if it's not--if it's an
exaggeration or out of proportion at all, I want you to
correct me.
A. I--I personally didn't see it the way you
described it. In 19 --
Q. Let me get the board and I'll (inaudible).
pMR. KOTOSKE: Your
Honor, can I pick a good place
to stop when we finish the government positions?
THE COURT: You mean for another break or for the
day?
MR. KOTOSKE: For the day.
THE COURT: But let me ask you, do you expect to be
done on direct today?
MR. KOTOSKE: No, not at this point.
THE COURT: I would like to go to (inaudible).
BY MR. KOTOSKE:
Q. I wouljp d like to ask you some questions,
Mr. Papageorge. What is NEMA?
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2
TOWOLDMONOQ49480
56
1 A. NEMA is the term used to describe the National
2 Electrical Manufacturers Association.
3 Q. Now, Monsanto is not a member?
4 A. That is correct.
5 MR. CARNEY : Mr. Kotoske, I don't think some of the
6 jurors are gonna be able to see it.
7 Q. Is Westinghouse a member?
8
A. ]p
Yes.
9 Q. Is GE?
10 A. Yes.
11 Q. These two alone represent the biggest users of
12 PCBs and electrical capacitors, transformers, in the
13 United States, do they not?
14 A. That is correct.
15 Q. You, however, became chairman of the ANSI 107
16 committee (inaudible) at one time?
17 A. Yes, I was.
18 Q. Now, that committee had as its function what?]o
19 And you were the chairman of this committee?
20 A. Yes.
21 Q. What was its function?
22 A. The committee was to put together a standard
23 on the proper use and handling of PCBs in electrical
24 transformers and capacitors.
25 Q. Did you ever accomplish that task?
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49481
57 1 A. Yes, we did.
2 Q. When? 3 A. The standard was finallyjo published in January 4 of 1974. 5 Q. We had the EPA at this time in the '70s--about 6 '74--who was seeking to ban PCBs altogether; isn't that true? 7 A. There were individuals in EPA that were 8 striving for such a ban but, officially, EPA, to my 9 knowledge , did not have that posture or that position. They
10 wanted to control it. 11 (Ms. Pape was replaced by Ms. Olliges.) 12
13 14 15 16 17 18 19
20 21 22
23 24 25
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49482
58 1 Q. The FDA was seeking to set limits; was it
2 not? 3 A. Yes . 4 Q. On PCBs in our food? 5 A. Yes. 6 Q. There was a federal agency who was seeking to 7 control PCBs in the water? 8 A. That's EPA, yes. 9 Q. You are quite (inaudible). I was wrong.
10 They control the water. There were officials that were 11 trying to control EPA -- PCBs in the workplace? 12 A. Yes. OSHA.
13 Q. Thank you. But NEMA and the committee that 14 you chaired wanted to keep using PCBs - 15 MR. CARNEY: Object. 16 Q. --in closed application? 17 MR. CARNEY: It's a compound question. NEMA 18 is one group and - 19 THE COURT: Sustained. Rephrase it, please.
20 Q. The committee that yo]o u chaired was seeking to 21 continue to use PCBs; were they not? 22 A. Yes, sir.
23 Q. On the other hand, certain agencies of the 24 government wanted to ban them altogether? 25 A. That's not correct.
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49483
59
1 Q. What is your position on that score?
2 A. The federal agencies were trying to control
3 the presence of PCBs in the environment or in food or in
4 the workplace. Q. And did you object to those controls?
6 A. No. All we wanted was reasonable achievable
7 controls.
8 Q. You never sat in a meeting conducted by Paul
9 Wright of Monsanto where he designed a scheme to prevent
10 the control or prevent the regulation of PCBs both in the
11 environment, in the water and in the effluent? You sat in
12 that meeting; did you not?
13 A. I may well have, but I don't remjo ember the
14 thrust of the meeting being anything like that.
15 Q. The purpose of the whole meeting attended by
16 Westinghouse, GE, and other members of NEMA held in your
17 offices at Monsanto was deliberately designed to prevent
18 the regulation of PCBs as the federal agencies were
19 attempting to do?
20 A. I'd have to refresh my memory on the exact --
21 Q. Do you deny it, sir?
p22
A.
Since I don't
remember, I'm forced to deny
23 it. I just don't recall the thrust of the discussion
24 being the way you described it.
25 Q. In any event, even through 1974, even through
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49484
60 1 all this brouhaha, you kept on making PCBs?
2 A. For the electrical use, yes. 3 Q. In 1974, did you change your warning as to 4 users like the Plaintiffs in this case making capacitors 5 with PCBs to warn them of chloracnejo ? 6 A. We did not. 7 Q. Liver damage? 8 A. We did not. 9 Q. Of any of the health consequences that you
10 now knew appeared in the Yusho literature? 11 A. We did not. 12 Q. By 1975, there was amajor conference on PCBs
13 held in Chicago on November (inaudible). Do you recall 14 the event? 15 A. Yes, I attended.
p16 Q. Did you participate in that conference -
17 A. I was a member of a panel that ended upthe 18 day's activities. 19 Q. At that conference, did you have those
20 reports with you that are part of Exhibit 12? 21 A. I personally did not have them. 22 Q. Mr. Calandra from IBT was with you; was he
23 not? 24 A. Yes, he was there. 25 Q. Who else from IBT was with you?
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49485
61
1 A. Dr. K]p eplinger and Dr. Gordon. There may have
2 been others, but I don't recall.
3 Q. Was Paul Wright with you?
4 A. No.
5 Q. And this conference sponsored by the United
6 States Government, specifically the EPA, were trying to
7 the best they could to regulate PCBs in the environment,
8 its use and its application even in the electrical
9 industry; isn't that true?
10 A. That is true.
11
]o Q.
And I suppose that the information that you
12 wanted to give to the United States Government at this
13 conference would be true and accurate information?
14 A. Certainly.
15 Q. At that conference, Mr. Calandra gave the
16 people running the conference on behalf of the government
17 Exhibit 12, did he not, the reports therein?
18 A. I know that Dr. Calandra spoke on the
19 subject. I have no way of knowing whetjo her he gave full
20 copies of these reports to all the representatives of EPA
21 there or not. EPA had already received copies of this
22 prior to the meeting.
23 Q. Exhibit 12?
24 A. Yes, sir.
25 Q. In any event, he used Exhibit 12 to advance
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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62
1 the position that PCBs did not appear to be toxic in the
2 animal studies that IBT had conducted?
3 A. I don't know that I would say th]p ey are not
4 toxic. He mentioned that at certain levels under the
5 conditions of the test conditions were noted which show
6 some harm is possible of these materials on the test
7 animals.
8 Q. Now, during this conference, I would like to
9 add -- You're at the conference with Mr. Calandro,
10 Keplinger and another official from IBT. Did you ever ask
11 those people from IBT how they prepared these studies,
p12
whether these
studies were true, whether they were valid?
13 Did you ever inquire how these studies were carried out?
14 A. I had discussions regarding these studies for
15 many months before that particular meeting, so that
16 subject did not come up at that meeting, no.
17 Q. What discussions did you have months before
18 (inaudible) regarding these studies?
19 A. I had discussions with the IBT people who
,p20
would come to St. Louis
to Monsanto, and I had at least
21 on three occasions visited their laboratory.
22 Q. Did you ever look at the raw data?
23 A. Oh, no. I'm not qualified to look at that
24 data and understand it, no.
25 Q. Let me ask you something. Did you ever ask
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49487
63
1 anybody from Monsanto, "Hey, let's go down and check the
2 raw data at IBT since they are doing toxic tests for us
p3
and we haven't had any done
since 1938"?
4 A. Did I ask that?
5 Q. Yeah.
6 A. No. That's a responsibility of the medical
7 department.
8 Q. I don't care whose responsibility you think
9 it is. You're in charge of the environment program, and
10 I'm just trying to find out, didn't you think that it
11 would be prudent and reasonable to look at the raw data
12 (inaudible)?
p13
A.
Certainly, and that was being
done.
14 Q. By whom?
15 A. Monsantotoxicologists.
16 Q. Who?
17 A. Well, Dr. Hunt initially, and then when he
18 died he was replaced with a Dr. Levinskas and Elmer
19 Wheeler throughout all of this period was on top of it. I
20 had to rely on those three people.
21 Q. Now, this is very important. Those three
22 people, Monsanto (inaudible) actually went to IBT and
23 looked at the rap w data?
24 A. Since I wasn't there, all I know is they went
25 there and looked at many things.
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49488
64 1 Q. Well, now, you just told me that these three 2 Monsanto people looked at this raw data,
3 A. No. I said they're responsible for following 4 the tests to assure that they were properly done, of high 5 guality, and the kind of tests that we expected from the
6 laboratory.
p7 Q. All right. Based on the information that you
8 had from these gentlemen, these Monsanto employees, did
9 they come back and tell you, "Bill, we looked at your raw
10 data, the bench books. These tests are according to 11 protocol"? 12 A. They told me the last part of your statement,
13 these tests are on schedule and they're according to 14 protocol. 15 Q. And did they tell -- Did they tell you how 16 they knew the testjo s were according to protocol? 17 A. No. 18 Q. You never asked? 19 A. I didn't know enough about the business to
20 use the right words to form the guestion. 21 Q. And you relied on what these other Monsanto 22 people told you to believe that the tests were not
23 falsified? 24 A. Certainly. 25 Q. Where is Dr. Hunt today? I understand he's
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49489
1
2]p
3 4 5 6 7
9
10 11 12
13 14 15 16 17 18 19
20 21 22
23 24 25
65
deceased? A.
Q.
He died. What about Elmer Wheeler?
A. He died also.
Q. Who's left?
A. Dr. Levinskas.
Q. He's alive?
A. Yes, sir.
Q. He's available to testify in this trial?
A. Oh, I don't know that. I haven't seen Dr.
Levinskas for five years or more.
Q. Let's just focus on Dr. Levinskas. Did he
telljo you that he went to IBT and looked at the raw data?
A. No, sir.
Q. Did he tell you that the tests being carried
out at IBT were being carried out according to protocol?
A. Yes, he did.
Q. Did he tell you how he knew that fact?
A. No, he did not.
Q. I want to turn the examination to Paul
Wright. Paul Wright worked at IBT; is that true?
A. That's w]o hat I found out, yes.
Q. Before he went to IBT, Paul Wright worked at
Monsanto?
A. That's what I understand. Yes, sir.
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2) TOWOLDMONOQ49490
66
1 Q. What did he do there? 2 A. Where? 3 Q. That's very(inaudible). When Paul Wright 4 worked at Monsanto before he went to IBT, what did he do 5 there? 6 A. All I know is that he worked for Monsanto's 7 agricultural chejo micals company in some position in their 8 laboratories as a technician. That's all I know.
9 Q. You did not know him at Monsanto? 10 A. No, I didn't. 11 Q. Even when you became a director of 12 environment and he was the head of toxicology, you didn't
13 know him? 14 A. He was never the head of toxicology when I 15 was there. 16 Q. (Inaudible) he was the manager of toxicology? 17 ]p A. No. He was just a toxicologist in Monsanto's 18 medical department reporting to Dr. Levinskas. 19 Q. You never met him?
20 A. Oh, sure, I met him, but I had no business 21 discussions with him. They were limited to Elmer Wheeler 22 and George Levinskas.
23 Q. Now, did you hear the testimony this morning 24 about Paul Wright's connection with the studies that are 25 in Exhibit 12?
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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67
p A. I heard it, yes.
Q. If that -- If those facts are true, would you
find them to be outrageous? A. If they are -- Under the condition if they
are true, I would find it very disturbing.
Q. In fact --
A. That just doesn't fit the man I saw briefly. I don't know how else to answer that
Q. Would you find that conduct simply reckless?
A. I don't knp ow about reckless. It would certainly be unprofessional
Q. It would be damn near criminal?
A. That -- Not being a lawyer, I don't know what you mean by criminal.
Q. It's outrageous under any conditions; is it
not? A. It's just unacceptable.
Q. Even to Monsanto?
A. True.
Q. Now, you knew that -- When Paul Wright came
back to wop rk in the toxicological department of the Monsanto Company, your employer, did you ever talk to him about those reports and the (inaudible)?
A. No.
Q. Did you ever think since you were giving
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2
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68
1 these reports out to federal agency after federal agency, 2 did you ever say to Paul, "Is there anything wrong with 3 those reports?" 4 A. I don't know what would lead a person to 5 su]o spect they are wrong, sir. It comes from a reputable 6 laboratory. 7 Q. Let me suggest a reason. Those reports were 8 given to about six or seven federal agencies as an index 9 to the toxicity of PCBs. They were given to other
10 agencies. They were given to the federal strike force on 11 PCBs. I would think if you want a suggestion that it 12 might be reasonable to ask Paul Wright, "Hey, Paul is that
13 good stuff or is that (inaujo dible)?" 14 MR. CARNEY: Your Honor, I'm going to object. 15 He's suggested no reason why Monsanto would be suspicious 16 at all about that. 17 THE COURT: What's your objection? 18 MR. CARNEY: I object. It's argumentative. 19 THE COURT: I don't think it's a question.
20 But I'm going to ask you to rephrase it as a question. 21 Sustained. 22 Q. Since you had given these reports t]o o all
23 these federal agencies (inaudible) -- I'll ask it this 24 way. Did the thought ever occur to you, "Maybe I should 25 check with Paul Wright about the data underlying his
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49493
69
1 conclusions in this report to be sure it's true"? Did 2 that thought ever occur to you? 3 A. A thought like that would never occur to me 4 because I'm talking to his superiors who know more than 5 Paul does about toxicity studies and p protocols and 6 interpretation of raw data. Why should I go to a person 7 who is less experienced than they are to get some feel for 8 the value and the validity of this work? 9 Q. Because, Mr. Papageorge, it was Paul Wright
10 who wrote the report and concluded the raw data.
11 MR. CARNEY: I'm going to object. That
12 misstates what the report says.
13 THE COURT: It's not a question. I'll 14 sustaijo n. Proceed. 15 Q. Now, again, in 1974 Monsanto was thinking 16 about quitting production of PCBs. Is that true? 17 A. That thought was always under consideration, 18 yes . 19 Q. Why didn't you quit?
20 A. Because it was our sincere belief that the 21 use in electrical equipment under the right conditions of 22 handling would provide a safety benefit to society that 23 could not be provided by any other p known material, and
24 without -- by arbitrarily stopping the production of PCBs 25 we would have put the power industry in this country in a
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70
1 position where all kinds of difficulties would have 2 occurred, blackouts, brown-outs, factory shutdowns, 3 subways wouldn't work and on and on. It was a very 4 difficult decision to make. 5 Q. Yeah. In October 17th, 1976, Congress passed 6 the Toxic Substance Control A]p ct; didn't they? 7 A. Yes, sir. 8 Q. The one chemical, the very one chemical and 9 the only chemical that is banned by name in that statute
10 is what?
11 A. PCBs.
12 Q. (Inaudible.) Have weexperiencedgreat
13 brown-outs? Have factories shut down? Have elevators 14 stopped? Has the whole world come to an end? 15 A. No, sir, becausealternatives were found to 16 prevent those drajo stic conditions with some sacrifice in 17 efficiency and safety. 18 Q. And those alternatives have been known for at 19 least 15 years? 20 A. That I don't know.
21 Q. You don't know? 22 A. No. 23 Q. As a chemist?
24 A. As a chemist.
25 Q. As a man who deals with
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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71
1 A. But not as a capacitor or transformer
2 designer.
3 ]o Q. It would have also meant if they were banned
4 altogether a great loss of income to Monsanto?
5 A. I would not describe it as great.
6 Q. You wouldn't?
7 A. No, sir. Not atthat time.
8 MR. KOTOSKE: Now, I'm trying to cut it down.
9 Your Honor, because I know we're running over.
10 Q. I want to -- I'm going to talk specifically
11 now -- As a chemist, you might know the answejo r. First
12 I'll offer a general proposition to see if we can have
13 some agreement. By the way, did Monsanto keep making PCBs
14 after 1976?
15 A. Yes, they did.
16 Q. Did they makethem in '77?
17 A. Yes, sir.
18 Q. '78?
19 A. No.
20 Q. Do they still make PCBs today?
21 A. No.
22 Q. Are you sure?
23 A. Positive.
24
]o Q.
Has Monsanto ever gone to the EPA and asked
25 for exemptions from the regulations to keep producing
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
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72
1 PCBs ?
2 A. That doesn't fit with the official position I
3 know from Monsanto.
4 Q. I want to ask you about a byproduct
5 (inaudible). I want to see what information you have.
6 When you heat PCBs in the presence of oxygen at a certain
7 temperature, it produces furans. True or not true?
8p
A. The potential is there, yes, sir.
9 Q. Now, Monsanto has known for at least 50
10 years, at least all the time you've been there, furans are
11 a very toxic substance?
12 A. I don't know that at all. I didn't find that
13 out personally until 19 -- I want to say 1970, '71. What
14 the medical people knew about it before that, I don't
15 know.
16 Q. Furans are about, according to Dr. Kelly,
17 p 2,000 more times toxic than PCBs. Do you know anything
18 about that?
19 A. I've heard that description, yes.
20 Q. And you have heard toxicity levels much
21 higher than that, haven't you, In the range of five to
22 10,000 times as toxic as PCBs?
23 A. Yes. I've heard some very high
24 concentrations, yes.
25 Q. Now, I want you to think back during the
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49497
73 1 '50's, during the '60's,]p during the '70's. Did Monsanto
2 ever put on its labels, on its drums, on its tankers, on 3 anything, to warn people like the Plaintiffs in this case 4 who actually used this stuff in the manufacture of 5 electrical capacitors, that heated PCBs could cause the 6 formation of extremely toxic furans? 7 A. No. That information was not known and not 8 discussed in that time period you discussed, '50's, '60's. 9 Q. Was it kn]o own in the '70's?
10 A. In the '70's, yes, there was discussion 11 amongst the scientists at the leading edge of this type of 12 study that this was a good probability, yes.
13 Q. Did you ever change? Did you ever change the 14 warning on the labels of these drums and these tankers to 15 alert people like the Plaintiffs in this case who use that 16 stuff to manufacture capacitors that heated PCBs could 17 cause the formation of e]o xtremely toxic furans? 18 A. On the label, no. 19 MR. KOTOSKE: (Inaudible) take a break, Your
20 Honor. 21 THE COURT: Well, let me ask the jury. Let
22 me have counsel come over. 23 (A bench conference was held.) 24 THE COURT: We'll go ten more minutes, and 25 then we'll stop. Does that meet with you all's approval?
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49498
74
1 MR. KOTOSKE: They can'Jo t take me for ten more 2 minutes 3 THE COURT: Let's take ten more minutes. The 4 more we do now, the less we have to do later. You may 5 proceed, sir. 6 MR. CARNEY: I'm willing to stop, just so I'm 7 on the side of the jury. It's your decision to 8 (inaudible). 9 THE COURT: Go ahead.
10 Q. Mr. Papageorge, did Monsanto hire lobbyists 11 back in Washington, D.C.? 12 ]o MR. CARNEY: In connection with PCBs, I
13 assume? 14 Q. Yes. In connection with PCBs. 15 A. PCBs, not to my knowledge. 16 MR. KOTOSKE: Now I am at a convenient - 17 THE COURT: You win. You want to step down? 18 We'll take a break. Ladies and gentlemen, we will break 19 for the day. We will continue with the witness tomorrow
20 at 9:30. Again, do not discuss this case among yourselves 21 or with others. We'll see all of you back here at 9:30 22 and proceed at that time. Thank you.
23 (Court was recessed for day.)
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49499
[& - additional]
Transcript Word Index
&
& 4:6
1
1 51:10
10 23:21
10,000 72:22
10/28/91 1:1
1016 22:10
107 56:15
12 4:5 49:18,18 50:1,1,11,16 52:18 54:2,3,20 60:20 61:17,23,25 66:25
1216 23:5
1221 22:8
1232 22:9
1242 22:9 23:6
125 2:17
1254 22:9
1260 22:9
13 16:12
15 46:23,24 70:19
150 2:1226:10
1700 6:23
17th 70:5
18 46:17
19 41:1848:3 55:1272:13
1930s 54:23
1930's 38:17
1938 63:3
1947
4:4 30
1951
13:12,25 16:16 36:9
4:17,195:8,15
30s
1953
38:17,17
6:4,6 9:5,9,14 10:9,10 11:5 30th
11:8,14,15 12:6,22,24
44:18
1957
31st
13:5,6,7,8 14:16,22 15:9,23 1:19
15:25 16:8,10 18:7,22 19:1 35
24:9 26:16______________
1961
19:16,17,22 20:20
4
1964 20:13 21:3,4 23:14 24:6,8 24:12,17
1965
40 23:22
400 13:11
25:13,14,16 30:4,12
1969
31:6 1970
30:2,4 32:18 34:13 35:15 36:18 37:2 39:20 40:6 41:1843:1244:7,1847:12 48:3,19 72:13 1970s 39:17 1970's 34:11 1971 44:5 47:16 48:8 53:2,23 1972 47:3,7 52:23,24 53:1 1973 12:23 1974
33:13 50
72:9 50's
9:15 73:1,8 53
12:25,25 55
17:18 57
14:23 19:14 59
20:20 5th
30:4 59:4
6
55:4 57:4 59:25 60:3 69:15
1975
55:5
60:12
60
1976
14:7 20:20
40:4,6,9 70:5 71:14
60s
1986
48:14
1:19 60's
It* 4:3 40:1751:10
73:1,8 61
2 20:18,20 63
2,000
46:17
72:17
69
20 31:8,9
3:9
21 22:11
2t* 65:1
70 32:2 39:6,23 40:2 50:6
70s 34:8 39:20,21,22,25 40:9
57:5
70's 73:1,9,10
71 47:16 50:6 72:13
72 44:5
74 57:6
77 71:16
78 71:18___________
8
8
40:17 86
2:14
9:30 74:20,21
943 4:3
a
able 17:12 33:15 38:7,10 56:6
aboard 26:9
about|3 34:20 47:17
access 27:23 28:2,4,7,9
accident 27:2 35:14
accomplish
accumulated 37:23
accurate 3:8 61:13
achievable 59:6
acquainted 37:8
action 45:7
activities 13:11,1360:18
add 62:9
added 44:8 45:24
addition 28:23 38:2 54:4
additional 21:21
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMON0049500
[address - believe]
address
anager
appropriate
35:1
32:13
29:13 37:23
addressing
analytical
approval
53:14
33:14
73:25
administration
analyzed
april
38:8 40:21 53:8
33:25
47:16
administrations
anhydride
apron
53:7 6:1
27:20,21
advance
animal
arbitrarily
61:25
54:8 62:2
69:24
adverse
animals
areas
37:9 33:5 34:3,6,8 38:10,18 51:5 33:24
age
51:6 62:7
argumentative
1:11 54:12
animals.|s
68:18
agencies
33:8
arochlor
48:16 50:23 52:15 53:6,16 anniston
48:21
54:1 58:23 59:2,18 68:8,10 21:21 25:18 26:23 29:24 aroclor
68:23
30:13,1531:7
22:8,9,9,9,9,10
agency
ansi
aroclors
52:25 53:19 58:6 68:1,1
56:15
54:19
agents
answer
arrangement
50:2
17:1 19:2 32:6 43:1 67:8
2:16
ago
answering
arrive
13:23 16:17 36:10
18:17
43:1
agreement
answers
artfully
2:5,8 71:13
18:12
18:4
agricultural
answer
article
66:7
71:11
16:14 46:5
agriculture
anto's
articles
51:14,18 53:10
45:11
37:23
ahead
anybody
aside
16:14 52:23 55:4 74:9
11:10,11 37:11 43:6 63:1
2:3 21:18
alabama
anyplace
asked
21:22 25:18 26:23 30:15
11:7
53:18 64:18 71:24
31:7,15
apart
asking
alert
35:11
18:17
73:15
appear
assigned
alive
17:24 62:1
6:8,18 13:8 20:3,9,14,21
65:7
appeared
21:1 25:1748:13,17
allowed
17:20 60:10
assignment
8:15 appetite
7:10 20:15 37:25
all's 36:4 assignments
73:25
application
4:21
alternate
58:1661:8
assistant
48:5
applications
12:6,16
alternative
46:21,25 47:1,4,17,18
associate
42:2 applied
14:25 35:12
alternatives
46:5
associated
70:15,18
appoint
34:5 42:1
altogether
32:24
association
41:20 47:4 57:6 58:24 71:4 appointed
56:2
america
31:11 32:5
assume
34:1
appreciate
74:13
amount
17:1 assumed
51:7,22 52:2
approach
39:17
2:22 10:12
assure 64:4
a|s 25:14 70:6
attempting 59:19
attempts 38:13
attend 3:25 54:5
attendant 37:9
attended 59:15 60:15
attorneys 1:23
august 47:12
available 29:13 53:24 65:9
aware 9:25 10:10 11:8 30:4 39:3,6
b
bachelor 4:1
back 11:2 16:5,8 18:7 19:1 20:2 24:9 31:12 39:23 40:3 64:9 67:21 72:25 74:11,21
background 3:23 34:12,16,18 35:5
ban 57:6,8 58:24
banned 70:9 71:3
bar 36:22
bartlesville 4:20
baseball 29:22
based 64:7
basic 37:21
basically 27:11
battle 55:5
behalf 61:16
belief 69:20
believe 14:10 19:18 20:19 40:20 41:2 42:9 48:22 64:22
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49501
[belong - coached]
belong 25:7
bench 2:23,24 10:13 36:24 64:10 73:23
benefit 69:22
benefits 3:17,17
bergen 40:11
best 2:17 3:9 8:21 9:1,11 17:7 17:1341:1,4 47:1561:7
beth 37:8
better 4:23,23 18:4 20:7 37:6
beyond 46:6
big 23:20,20
biggest 56:11
bill 64:9
bird 37:12
birds 33:6,15 34:4,8
bit 4:25 19:19 29:1 37:1
blackouts 70:2
blem 48:8
blended 5:3
blending 7:11
blood 15:2
bloomington 14:17
blown 55:5
board 40:9 55:13
body 15:18 29:10 42:16,21
book 37:24
books 64:10
bootie 28:24
booties
capacitors
chairman
29:11
7:4 9:18 56:12,24 60:4 73:5 56:15,19
bottom
73:16
change
37:15
capacity
13:6 15:17 22:22 25:14
break
6:10 32:9 36:25 43:17 44:10
9:18,18 39:8,11 55:16
car
60:3 73:13,13
73:19 74:18,18
17:18,21 30:20
changed
breaks
carbonless
30:6,8 44:9 54:25
45:22
45:22 47:13
changing
breathed
care
48:5
8:13 15:3
44:2 63:8
chapped
briefly
carney
15:1
67:7 2:22 10:12 18:1731:1,4 characteristics
bring
56:5 58:15,17 68:14,18
18:2
30:2
69:11 74:6,12
charge
broadened
carried
63:9
45:10
62:13 65:15,16
check
brochure
carry
63:1 68:25
18:1
34:21
chemical
broke
cars
4:2,4 5:19,22,25 6:1,9
9:22
31:2 55:1
21:14 24:20 70:8,8,9
brought
carter
chemicals
15:17
1:1 38:21
6:14 7:8 29:15 40:21 41:3
brouhaha
case
chemist
60:1 3:2,7,20 5:9 17:10 24:14,18 70:23,24 71:11
brown
30:21 39:12 44:17 60:4 chemists
1:1 70:2,13
73:3,15 74:20
33:14
bubble
cases
chest
45:23
2:9,21 15:1,3 35:21
15:6,12,12 16:4
business
cath
che|s
40:15,15 64:19 66:20
22:5 36:16
66:7
byproduct
cattle
Chicago
72:4
51:22
60:13
c
calandra 60:22 61:15,18
calandro 62:9
caulking
chloracne
45:19
15:14 19:1,7,12 24:20
cause
30:25 36:16 54:10
14:24 19:11 24:15,20 30:22 chloracne |s
73:5,17
60:5
caused
chlorinations
1:5 3:9 12:10,11 13:1 18:1 28:11 29:14 37:4,5,7,20 45:24 47:20 called
32:20 causing
16:3 43:23 44:1 cautionary
5:25 14:3 15:5 28:24 35:19 39 4 44 24 46 4
8:10 centered
can'p
41:24
74:1 canvas
certain 27:1 30:9 58:23 62:4 72:6
2812 cap
29:21,22 capaci|3
certainly 3:21 7:3 12:21 17:9 33:25 34:25 38:20 41:8 50:4 61:14 63:13 64:24 67:11
24:19
chain
capacitor 9:21 22:11 24:14 71:1
37:15,16 chaired
58:14,20
22:20 chlorines
33:13 clerk
1:7 closed
46:7,8 47:2,23,24 48:1 58:16 cloth 28:6,12 29:21 clothes 8:16 clothing 27:15,19 coached 38:1
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49502
[coating - day]
coating
conducted
28:13
38:18 59:8 62:2
cold
conference
15:6 60:12,16,1961:5,13,15,16
college
62:8,9 73:23
3:24,25
confer^
comfortable
2:24
42:17
confirm
coming
33:15
25:13
confirmed
commerce
32:23 33:10
53:12
congress
committee
70:5
40:16 56:16,18,19,22 58:13 connection
58:20
34:21 37:2 66:24 74:12,14
company
consequences
2:14 4:20 5:5 17:8,10 40:13 8:8 10:11,11 11:6,12,25
40:21,23 41:6,10,19 44:19 14:21 24:7 30:4 44:11,14
66:7 67:22
60:9
complain
consideration
10:1 45:7 69:17
complete
considered
53:12
45:11
completed
consisted
47:15
53:5
compound
constant
58:17
43:3
compressors
construction
7:7 8:1
13:13 14:18
comprised
consult
49:17
11:20
concentrated
consulting
37:20
2:20
concentrations
consumes
72:24
51:20
concern
consumption
35:2,11
35:20
concerned
contact
34:23
16:25
concerning
contained
37:21 44:18
13:17,22 14:1,10 33:12
concerns
container
34:22 35:10
17:21
concluded
containers
52:13 69:10
44:8 46:11
conclusions
contaminated
50:21 52:13 69:1
35:21
condition
continue
15:13,14,16 16:3 67:4
1:4 27:3 58:21 74:19
conditions
continued
15:19 16:2 36:19 43:2 62:5 15:10,12,1920:13
62:5 67:15 69:21 70:16 continuing
condit|3
16:1
15:10
contracted
conduct
54:23
67:9
control
court|s
31:12,24 32:13 46:6,13,25 1:8
47:24 48:1,18 57:10 58:7 cover
58:10,11 59:2,10 70:6
18:15
controlling
covers
50:3 14:10
controls
cracked
59:4,7
15:2
convenient
create
74:16
32:20
conversa|3
created
22:15
32:16
conversation
creatures
52:11
37:10
conveying
credits
8:1 4:5
copies
criminal
37:23 52:15 54:1 61:20,21 67:12,14
copy
cross
45:22,23 47:13
18:1249:13
corey
ct
40:20
70:6
corporate
ctured
1:20 33:17
correct
cuff
3:11 4:9,155:11,146:5,15 28:16,17
6:17 10:8 11:18 12:9 15:22 customers
16:9 24:11 25:23 26:4 30:3 27:4
30:1037:1941:1543:8,11 cut
47:5,6 51:3 55:10 56:4,14 18:1821:1571:8
58:25
d
corrected
d.c.
16:2 correction
15:11 correctly
74:11 damage
15:21 16:11,25 18:7 19:8 19:12 24:15 30:22 35:24,25
21:24
36:1,2,16 44:1 60:7
cost 20:7
council 53:9
counsel 73:22
damaged 28:22
damn 67:12
dam|3 54:12
count 3:8
country 69:25
course
dangerous 88 1010 116 12 1421 24:7 30:4 53:20
data 50:20 52:13 62:22,24 63:2
10:641:1249:8 court
1:2 2:25 10:14 11:1,4 18:16 18:20 31:3,22,25 36:23
63:11,23 64:2,10 68 25 69 6 10 date 21 4 47 7
65:13
39:8,10,15 40:2 55:16,19 day
55:22 58:19 68:17,19 69:13 73:21,24 74:3,9,17,23
1:19 44:17 55:17,18 74:19 74:23
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49503
[day's - elmer]
day's 60:18
dealings 20:10
deals 70:25
death 34:6
decades 43:4
deceased 65:1
decembe|3 1:19
decided 41:25
decision 48:2 70:4 74:7
decision^ 47:25
defense 53:11
definition 19:3 45:11 46:1647:10
degree 4:2,4,6
delay 1:3
deliberately 59:17
demonstrated 34:16 42:19
dental 3:17
deny 59:21,22
department 5:2 12:12,14,20 13:2,9 19:22 20:3 31:19 49:7,8 51:14,18 53:10,11,11 63:7 66:18 67:21
department} 53:12
departments 7:10 53:6,16
departm|} 20:24
depending 20:4
depends 23:2
deposition 5:9
describe 14:25 22:5 28:8,9 42:20 46:9 50:18 53:3 56:1 71:5
described
discussed (cont.)
18:1 19:11 20:1925:5
54:16 73:8,8
26:20 27:6 36:5,17 47:11 discussing
49:24 55:12 59:24
49:5
describes
discussion
38:1341:447:19
36:24 59:23 73:10
describing
discussions
36:18
41:19,23 62:14,17,19 66:2
description
disposal
72:19
32:8 44:3
design
distinguished
5:1 6:7
45:6
designed
distribute
29:8 52:1 59:9,17
7:5
designer
disturbing
71:2 67:5
designing
di|}
5:2,6,18,23
54:22
detail
dizziness
41:12
36:6,16
deteriorate
doctor
29:5 4:8
determine
doctorate
51:25 53:15
4:5
developed
document
42:25
16:12,15,20 17:14,25
dible
documents
68:13
52:22
died
doing
63:18 65:1,4
7:2 41:7,10,11,1463:2
different
dozen
4:21 21:1322:1924:1,5,10 13:12 20:4 23:23 45:17
47:10 50:22
dr
differently
11:24 12:6,11 44:17,24,25
42:9 45:2,9 52:8 61:1,1,1863:1
difficult
63:18 64:25 65:6,10,12
43:1 47:14,24 48:1 70:4
66:18 72:16
difficulties
dra|}
70:1 70:16
direct
drill
1:13 55:20
4:23
directed
drinker
30:21
39:4 54:22
director
drinking
12:13,1740:15,2041:3
51:10
66:11
drug
directory
38:8 53:7
37:24
drum
dirty
24:13 30:20
8:16 drums
disappear
17:18,1831:2 36:1343:18
16:4 55:1 73:2,14
discuss
ds
11:11 39:12 54:7 74:20
40:1
discussed
d|D
36:19 38:9 52:19 53:24
11:20
duly 1:11
duties 5:5 13:7 20:1
duty 44:19
dying 34:4
e
earlier 8:2 15:13 26:21 47:11
early 15:4 33:7 34:8 38:16,17
earned 4:5
eating 35:4 51:8,22
ed 5:15
edge 73:11
educate 37:17
educational 3:23
effect 8:13 17:5 44:4,25
effects 34:24 37:9 38:6 54:8,9 55:2
efficiency 70:17
effluent 59:11
efforts 37:3,7,8,19
either 13:13 20:7 36:9
elbow 28:15
electric 14:17
electrical 7:3 14:1 46:14,17 55:5 56:2 56:12,23 60:2 61:8 69:21 73:5
electricians 13:25
electricity 7:5
element 55:1
elevators 70:13
elmer 12:5 54:4 63:18 65:3 66:21
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49504
[em - form]
em exactly
f
39:1,4 42:5,6 49:20,22
35:7
face
54:10,12,14,15,22
exaggeration
29:12
ember
55:9 fact
59:13
examination
2:1 5:12 43:21 65:18 67:6
emmet
1:13 49:14 50:17 65:20
factories
11:20,20
examine
70:13
employee
18:12
factory
10:1 15:3 16:2
example
70:2
employees
7:6 18:23 24:18 36:15 38:4 facts
18:6,22 26:7,14 27:5 64:8 38:7 50:2 53:7,13
67:2
employer
examples
fair
67:22
7:21 46:2
22:23 26:18 55:8
ence
executive
fairly
2:24
40:16,23
29:5 41:4
ended
exemptions
falsified
31:6 60:17
71:25
64:23
engineering
exhibit
familiar
4:2,4 6:7 20:3,8
49:18,18,24 50:11,16 52:18 38:14 49:23
engineers
54:2,3,20 60:20 61:17,23 family
20:4
61:25 66:25
27:13
ent
exist
far
20:24
8:18 17:16
3:9 21:10 43:9
environment
expect
fa|s
32:22 33:5 37:4,6 42:4,15 3:14 15:1355:19
42:13
42:19 43:22 44:2,4,10
expected
fda
53:15 59:3,11 61:7 63:9
20:5 64:5
51:2,4 58:1
66:12
experience
february
environmental
29:4 32:7
48:19
31:11,24 32:13 34:22 35:2 experienced
federal
35:10,12 38:14 39:18 41:24 69:7 70:12
48:15 50:2,11,22 52:15,24
48:18 53:10
expert
52:25 53:6 58:6 59:2,18
epa 4:13 68:1,1,8,10,23
50:24 57:5,7,8 58:8,11 61:6 experts
fed|s
61:20,21 71:24
52:14
49:3
eplinger
exposed
feeding
61:1
14:1224:1938:19
50:19
equipment
expose
feel
5:2,6,18 7:4,22 13:14,17,22 15:19 19:11
42:17 69:7
14:1 46:15 69:21
exposure
fellows
er
8:9 10:2,11 11:6,25 14:21
12:19
12:16
14:23 24:7,14,20 28:22
field
eral
30:4,22 34:6 36:15 37:9
38:4,5,6
49:3
44:12
files
establish
expression
17:12
22:19
46:9 fill
estimate
ex|s
40:3
23:21 46:22
35:13
filters
e|3
extract
29:15
73:17
4:25 final
europe
extremely
50:6
34:1 73:6 finally
event
ey
52:4
27:2 59:25 60:14 61:25
62:3
finally^
exact
eyes
57:3
26:17 43:23 59:20
36:3
find 4:22 9:1 34:11 47:14 63:10 67:3,5,9 72:12
finding 33:20 34:2,7 35:3
fine 8:4 35:14
finish 55:15
fire 27:3
firm 2:6
first 1:11 2:154:21 5:17,189:6 25:25 35:16 46:25 47:15 71:11
fish 33:6,15 34:4,7 35:3,4 38:12 51:5
fit 27:13 67:7 72:2
five 30:1 65:11 72:21
flexible 45:25
fluid 7:7,12,14,18 9:4,7,12 46:15
fluids 7:6,9 48:4,6
flushing 13:21
focus 65:12
folks 18:25
following 2:16 39:14 40:19 64:3
follows 1:12
food 38:8 51:6,22 53:7 58:4 59:3
footnote 22:14
footwear 28:18,18,19 29:6,7
force 52:25 53:4 68:10
forced 59:22
foremen 13:12
forklift 7:18
form 64:20
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49505
[formation - identified]
formation
given
h helping
73:6,17
7:10 45:7 52:22 54:6 68:8,9 hadn'tp
2:9
formed
68:10,22
24:10
hesitate
32:9 52:24 53:2
giving
half
50:4
forth
53:12 67:25
42:23 43:7 45:17
hey
35:4 givinb hand
63:1 68:12
forward
18:18
58:23
high
13:4,5 19:1625:13
glass
handled
64:4 72:23
found
45:20
18:6 higher
32:21 33:13 42:4 43:22 glenn
handling
28:17 72:21
47:24 65:22 70:15
1:1
18:3 32:8 44:3 56:23 69:22 highest
four
globally
hands
41:16
4:22 38:17
33:21
8:22 15:1
hing
fractions
glove
happen
52:12
5:3
28:12,12,14
9:17
hire
frame
gloves
hard
74:10
37:2 40:6
28:3,4,6,9,13 29:11
29:22
history
frequency
go
harm
4:16
50:19
16:14 19:1629:3 30:13
43:23 62:6
home
frequently
36:21 39:23 40:3 42:21
hat
31:12
50:14
55:22 63:1 69:6 73:24 74:9 28:9 29:23 65:22
homework
full
going
ha|s
37:25
52:24 55:5 61:19
5:8 16:12 28:11 37:4,20
31:7
honor
fumes
55:5 68:14,20 69:11 71:10 have|s
2:22 10:12 31:1 55:14
8:13 15:4 29:18
goi|3
29:9 68:14 71:9 73:20
function
13:1 40:8
head
hour
53:4 56:18,21
gonna
66:12,14
2:12,17
functional
39:7,23 40:3 44:19 46:22 headgear
hourly
40:15
46:22 56:6
29:20
2:10
furans
good
headquarters
hours
72:7,10,16 73:6,17________ 8:25 46:19 55:14 68:13
31:17,20
3:9 38:1
g 73:12
health
howard
gallon
gordon
10:1,11 12:18 37:9 38:6
40:10
17:18
61:1
44:11,13 54:8,9 60:9
human
gasoline 5:3
gosh 16:16
hear 3:2 9:6 30:14 35:17 52:8
35:5,11,13,20,20 37:14 44:11 55:1
gasolines
government
66:23
humans
5:2
38:11 48:8,13 49:3,5 50:8 heard
34:24 52:2 55:2
ge 56:9 59:16
gear
50:11 52:24 55:7,15 58:24 61:6,12,16 great
18:24 35:14,16,18 42:25 49:15 67:1 72:19,20,23 heart
hundred 21:13
hunt
28:1,2 29:11
70:12 71:4,5
35:23,25
63:17 64:25
general 20:21 23:4 25:1,3 38:12
ground 5:1
heat
hydraulic
7:8 46:15 47:21 48:5 72:6
7:7,12,14,18,23 9:4,7 46:15
71:12 generation
43:4
group 26:13 33:13 40:15 42:1 53:2,5,25 54:7 58:18
heated 73:5,16
heating
47:20 48:4 ibt
gentlemen 1:2 64:8 74:18
gt> 43:5
7:8 heisler
48:20,21 60:22,25 62:2,10 62:11,19 63:2,22 65:13,16
gents 40:13
george
guess 1:23 22:5 23:20 42:8
guideline
25:10 held
2:24 18:10 36:24 59:16
65:21,23 66:4 idea
26:18 27:18
66:22
15:7
60:13 73:23
ideas
give
help
37:21
23:19,21 26:18 45:17 53:22
14:25 19:3,20 20:24 22:8 identified
54:22 61:12
49:14
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49506
[ight - laundered]
ight information (cont.)
51:21
73:7
Illinois
ingredient
21:2,9,23 26:21
7:9 45:18,20,21
illnesses
ingredients
35:21,23 36:5
7:11 46:11
illustrate
initial
33:11
37:19 46:14,16
illustrated
initially
33:12
40:10 63:17
important
injury
35:13 63:21
52:25
improve
ink
20:6,8
45:23
inability
inquire
36:4 62:13
inaudible
instances
1:24 2:21 6:13 7:1 8:7 9:4 50:12,13
9:24 11:22 12:10,11 18:20 intended
18:23 19:19 22:14,24 23:1 35:20 42:5
23:19 27:8 28:5,8,15 29:3 intent
31:20 33:2 34:22 36:14
52:5
37:13 39:7 44:20 45:13 interest
46:7,25 50:9,13 52:1 55:13 3:19
55:22 56:16 58:9 60:13 interested
62:18 63:12,22 66:3,16
3:24 49:21 51:24
67:23 68:23 70:12 72:5 interiors
73:19 74:8
53:11
inau|3
interpretation
68:13
69:6
incident
interrupt
9:20,25 35:18 36:12
5:8 34:22
include
intertwined
5:6 13:16,18 25:4 33:5,8
35:8
35:23
introduced
included
9:12
46:13 52:13
invented
including
9:12
3:10 33:8
invited
income
54:4
71:4 involve
increment
12:1
50:5 involved
index
14:1,3,4,6 23:17 38:8,11
68:8 51:1953:16,17
individuals
inv|3
14:7,9 38:3,7 57:7
11:9
industrial
ions
7:12 12:17 40:21
15:10
industry
irritation
46:17 55:5 61:9 69:25
15:6
inextricably
issued
35:8 28:20 50:7
information
items
14:18 39:3 51:24 53:19
51:6
54:1961:11,1364:772:5
it|D kno|s
16:22
50:18
j
january 32:2 48:18 57:3
japan 35:19
job 4:17,185:17,18 12:1 13:5 13:18,19 19:17,18,24 20:2 20:10,13 24:22,25 25:7,14 25:16 31:10 32:1,12,14,20 33:2 34:21 38:18 39:18,18 40:4 48:14,18
jobs 13:16
join 49:7
joined 4:17
joint 36:8
join|s 5:15
judge 36:21
juror 3:4
jurors 56:6
jury 53:3 73:21 74:7
know 1:22,22 7:1 8:6 11:5,10,16 11:20,22 14:21 15:9,25 17:16 18:9,13 19:18,25,25 22:19 23:18 24:6 25:25 32:6 34:17,19,20 37:16,25 41:6,10 42:20 43:9,10 48:20 50:14,24 51:6,23 52:10 53:3 61:18 62:3 63:24 64:19 65:10 66:6,8,9 66:13 67:8,13 68:4 69:4 70:20,21 71:9,11 72:3,12 72:15,17
knowing 61:19
knowledge 10:5 24:8 57:9 74:15
known 4:6 69:23 70:18 72:9 73:7
kn|3 67:10 73:9
kotos ke 1:3,5,14 11:3,5 18:21 31:6 32:1 36:21,25 39:7,9,16 42:12 49:25 55:14,18,21,23 56:5 71:8 73:19 74:1,16
krummrich 21:6 23:14
kfj 61:1
k1
keep 39:11 58:14 71:13,25
kell|3 45:2
kelly
label 19:4,6,8 24:12,17 30:20,24 36:18 44:16 54:25 73:18
labels 8:18,22,22 31:2 43:17 44:9
11:20,20,24 12:6,11 44:17 73:2,14
44:24,25 45:9 72:16 keplinger
laboratories 38:11 66:8
62:10 kept
43:15 47:2 60:1
laboratory 52:12 62:21 64:6 68:6
lack
kind 8:17 12:1 17:20 28:5,16,19
36:3 lacking
64:5 kinds
22:3 70:1
43:4 ladies
1:2 74:18
knew 14:23 15:3,10,23 16:1
late 38:17 48:3,14
19:1036:11 38:1541:11 54:7,15,17 60:10 64:16
lateral 6:7
65:18 67:20 72:14
laundered
8:17
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49507
[law - monsanto]
law 2:6
lawful 1:11
lawyer 18:11 67:13
le 27:15
lead 68:4
leading 73:11
leak 46:13
leakage 9:23
learn 38:16
learned 24:9,10 30:7
leather 28:13,21
left 2:13 65:5
legal 44:20
letter 44:18 45:4,6
level 34:16,18 40:23 41:16
levels 34:7,12 35:3,5 62:4 72:20
levinskas 63:18 65:6,11,12 66:18,22
library 37:22
life 42:23 43:7
limited 66:21
limits 58:1
lines 16:1
liquid 46:10
literature 34:9 60:10
little 3:5 15:2 19:19 29:1 37:1 47:14
liver 15:20,21 16:11,25 18:7 19:8,12 24:15 30:22 36:16 54:12 60:7
lobbyists
manager (cont.)
members
74:10
48:17 66:16
42:13 59:16
located
manufacture
memorandum
5:20 6:22 21:8
5:19 10:6 21:16 32:7 73:4 45:5
long
73:16
memory
8:13 9:7 13:4,22 24:22
manufactured
59:20
29:24 50:19
5:22 14:1321:1822:16 men
longer
23:13 42:24
14:2
47:14
manufacturers
mentioned
lon|3
56:2 8:2 24:2 33:9 47:20 62:4
8:15
manufacturing
met
look
18:23 23:4 24:19 25:2,3,4 5:14 66:19,20
17:13 32:25 49:20 62:22,23 27:9,20
methods
63:11
manufa|3
18:2
looked
33:17
micals
63:23,25 64:2,9 65:13
march
66:7
looks
44:18 47:16
middle
28:25
marketplace
9:15 18:19
loss
9:13 milar
71:4 mask
22:23
lot
29:14
milk
18:14,14
master
51:5,10
louis
4:3 mily
5:20 6:23 31:12,14,16
material
42:13
37:24 62:20
8:14,16 45:24 69:23
mind
lower
materials
2:10 3:8 7:17 8:2 46:1
20:7
14:5 42:2,3 43:22 62:6
minds
lung
math
47:23
36:1,2____________________ 14:2 21:20
minute
m
machinery 7:6,14,17
machinists 14:3,6
maintain 13:14
maintained 46:12
maintenance 13:9 14:2,4,11 23:24
major 60:12
majority 47:12
making 5:2,21 6:2,13 7:2 23:14,16 23:25 24:4 26:11,14 28:19 41:19 47:2 60:1,4 71:13
malfunctioning 13:17
man 37:18 48:23 67:7 70:25
management 32:24
manager 12:1725:1726:231:11,24
mean
27:18 30:12 36:22 39:10
27:8 50:16 55:16 67:14 minutes
means
39:11 73:24 74:2,3
42:15
miscellaneous
meant
20:23
71:3 missed
meat
20:17
51:19
misstates
mechanics
69:12
13:12
mistaken
medical
24:25
3:17,184:8,11 12:11,13,13 mix|3
12:20,20 13:1 31:19 37:21 7:22
37:22 42:20,21 49:7,8 63:6 mixture
66:18 72:14
7:23
medicare
mixtures
3:18 22:13
meet
moment
50:23 51:13,16 73:25
8:3 46:1
meeting
money
59:8,12,14,15 61:22 62:15 3:1,2,6
62:16
monsanto
meetings
1:16 2:3,5,6,21 3:1,6,15,19
18:10 54:5
4:175:15,178:23 11:10,11
member
12:20 14:14 16:11,15 21:19
56:3,7 60:17
24:1325:1827:1931:13
32:20 33:11,17 35:1 36:12
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49508
[monsanto - pcbs]
monsanto (cont.)
noted
37:17 38:9,16 40:21,22
62:5
41:16 42:1,23 43:7,9 45:5 november
45:14 46:8,17,20 48:10,11 60:13
48:12,12 50:14,20 52:12 nufactured
53:18,25 54:7,23 55:5 56:3 21:20
59:9,17 62:20 63:1,15,22 number
64:2,8,21 65:24 66:4,9
26:16 43:5
67:18,22 68:15 69:15 71:4 numbers
71:13,24 72:3,9 73:1 74:10 13:24 22:6
monsanto's
numberp
6:8 22:6 32:23 49:6 66:6,17 34:10
monsp
ny
45:11
14:2
months
o
62:15,17 morning
object 58:15 59:4 68:14,18 69:11
48:23 49:14 66:23
objection
move 6:7 18:16 29:10 52:23 55:4
mp 32:13
68:17 occasion
14:5 27:23 occasions
muscle
62:21
36:8 occur
n 68:24 69:2,3
name
occurred
21:4 25:11 70:9
20:19 27:3 35:18 70:2
names
October
22:6 70:5
national
offer
56:1 4:1071:12
nature
offered
13:6 52:14
nausea
office
36:3 53:9
near
offices
67:12
31:1259:17
necessarily
official
33:18
62:10 72:2
need
officially
3:4 7:21 25:25 32:24 36:25 57:8
49:19
officials
nema
58:10
55:25 56:1 58:13,17 59:16 oh
new
8:3 21:13 23:17 24:24
19:17 29:9 32:14 37:3
34:19 48:3,12 62:23 65:10
39:17
66:20
ng 13:1 38:9 40:8
oil 4:23,24,25 9:24 28:21
normal
35:19
16:5 oils
north
28:22
34:1 okay
note
16:12 21:25 29:24 31:4
45:3 Oklahoma
4:6,6,20
olliges 1:1 57:11
olved 11:9
once 46:24
ones 29:9
ongoip 38:9
oozing 15:2
open 45:12,14 46:2,2,21 47:4,7 47:10,11,18,18,20
operating 23:23 40:22
opinions 4:10
opportunity 38:2 54:6
order 14:24 19:2 34:21
orderly 18:13
ordinary 29:2
osha 58:12
outrageous 67:3,15
outs 70:2,13
outside 11:7 45:6
overall 38:13 45:9
overtones 44:20
ow 67:10
oxygen 72:6
_________________P
p.m. 1:1
page 50:5
paid 1:24 2:1,7 3:1,6
pain 36:8,8
paint 6:3
paints 45:8,21
panel 60:17
pants 27:24
papageorge 1:1,6,7,10,15 18:11 49:20 55:25 69:9 74:10
pape 38:21 57:11
paper 45:22 47:13
pardon 14:20
part 5:5 6:8 9:6 13:16,18 23:20 32:9 35:2 38:14 45:9 49:13 50:16 60:20 64:12
parp 13:19
participate 60:16
participated 24:4
particular 7:23 20:2 62:15
passed 70:5
paul 25:10 59:8 61:3 65:20,21 65:23 66:3,24 67:20 68:2 68:12,12,25 69:5,9
paying 2:3,9
pcb 2:9,21 7:22 9:8,24 10:2,11 11:6 14:5 22:24 27:12 33:13,16 34:7 42:13,23 53:4
pcbs 6:16,24 7:11 8:9 9:19 10:3 10:7 11:25 13:17,21,22 14:2,10,12,13,22 15:8,18 16:25 18:1,6,8 20:11 21:16 21:19,20 22:3,3,12,13,15 23:15,16,25 24:1,5,7,13,14 24:19,23 25:4,19,22 26:11 26:14,19 27:5,15,20 28:19 28:22 29:1,8,16,17,18 30:6 30:22,25 32:7,8,9,21 33:12 33:21 34:4,6,12,18,24 35:6 35:21 36:14,15 37:9 38:6 38:10,1941:1942:1043:7 43:15,22 44:12 45:8,10,15 46:13,17,20,24 47:2,4 48:8 49:3,5 50:3,3,24 51:4,8,17 51:22 52:2,25 53:14,20
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49509
[pcbs - provide]
pcbs (cont.)
pigmentation
positive
54:7 55:8 56:12,23 57:6
36:3
41:3 71:23
58:4,7,11,14,21 59:3,10,18 pipefitters
possible
60:1,5,12 61:7 62:1 68:9,11 14:7
62:6
69:16,24 70:11 71:13,20 pipelines
posture
72:1,6,17,22 73:5,16 74:12 14:8,9
57:9
74:14,15
piping
posure
pcb|s
14:9 46:12
35:13
46:10
place
potential
pencil
9:1 11:7,7 16:22 17:1342:5 72:8
45:22
55:14
potter
pension
plaintiffs
41:2
3:15 1:5 24:14,18 30:21 36:15 poultry
people
60:4 73:3,15
51:19
8:8 13:20 14:11 16:25
plaintiff's
pounds
18:24 20:24 23:22,24 30:25 50:1
23:12
34:12 35:4 36:14 43:4
planet
power
44:19 50:8 54:17 61:16
33:23,24
69:25
62:11,19 63:20,22 64:2,22 plant
ppened
72:14 73:3,15
5:19 6:19,22,24 7:10,13
31:7
peop|s
9:16 10:2,6 11:19 13:9,10 precise
27:15
13:14,15,20 14:3,18 16:21 43:7
percent
17:11 20:2,6,14,21 21:1,5,6 prefecture
46:17,23,24
21:8,12,16,18,21,24 22:3
35:19
percentage
23:5,5,8,14,15 24:23 25:17 prepared
46:19
25:18,19,21,24 26:2,3,7,19 45:2 49:6 62:11
period
26:21,22 27:14 28:24 29:4 presence
4:22 8:15 40:8 50:6 63:19 29:25 30:17 31:7
41:25 59:3 72:6
73:8 plan|3
present
periods
6:8
7:5,7,9 52:7,21
8:14 plants presentation
permit
7:1 21:19 26:25
18:13 49:2
46:12
plants
presented
persistent
7:5
38:2 50:23 52:8
42:10,12,14
plastic
present^
person
6:2 28:13
50:9
15:20 17:7 37:12 42:20,21 plasticide
president
53:8,8 68:4 69:6
45:24
41:6,9
personally
plastics
president's
9:20 48:9 52:21 55:11
6:2 45:25
53:9
60:21 72:13
play
pressures
petroleum
49:9
22:21
4:20 please pretty
Phillips
11:4 18:11 39:1558:19
4:24 15:6
4:19 plus
prevent
phrase
52:21 54:21
52:2 59:9,10,17 70:16
46:8 point
primarily
phthalic
6:18 8:25 14:16 17:17
27:1
5:25 19:1021:1526:8 30:19 prior
physician
45:7 49:11,1250:1451:23 9:4,9 61:22
16:21 17:11
55:21
probability
pick
position
73:12
55:14
20:18 32:5 37:4 57:9 59:1 problem
piece
62:1 66:7 70:1 72:2
18:5 38:14
7:17
positions
problems
55:15
10:2 15:12
procedure 22:22
proceed 1:8 2:25 39:15 69:14 74:5 74:22
proceedings 39:14
process 22:22 23:4 24:19 27:9,9
processes 20:6
produce 7:12 20:25 42:3
produced 23:12 42:6 46:17,21
producers 33:19
produces 72:7
producing 43:15 71:25
product 5:4,19 11:9 20:7
production 6:7 20:6,9,24 41:24 43:12 69:16,24
products 18:23 20:25 21:14 22:18,23 22:24 27:11,12 40:15 42:1
program 37:18 38:13 45:10 48:5 63:9
promotion 6:4 26:5
promulgated 52:4
proper 18:2 44:3 50:8 56:23
properly 15:8 46:12 64:4
proportion 55:9
propose 4:12,138:12
proposition 71:12
protective 27:14,19 29:6,7
pro|3 48:8
protocol 64:11,14,1665:16
protocols 69:5
provide 2:8 20:24 53:18 69:22
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49510
[provided - return]
provided 69:23
prudent 63:11
public 51:19
published 16:10 57:3
pull 35:10
pumping 14:5
pumps 14:4,4,6
purpose 42:2 59:15
purposes 43:16
put 23:12 29:3 46:25 56:22 69:25 73:2
q
qt> 26'11
qualifications 32:4,10
qualified 62:23
quality 5119 53 10 64 5
quarter 4716
queeny 6:19 9:16 10:2 13:9 20:21
question 12:2 16:23,23 18:4 34:25 36:12 43:1 58:17 64:20 68:19,20 69:13
questions 1:14 18:13 55:24
quit 1:1841:1969:19
quite 32:6 58:9
quitting 69:16
quote 46:2
r
raincoat 27:24
raised 34:25
raling 16:4
range
referred
72:21
15:13 22:10 47:7
rapidly
referring
29:6 45:9
rate refilling
2:11 13:21
ra|s reformulating
63:23
48:4
raw refresh
62:22 63:2,11 64:2,9 65:13 59:20
69:6,10
regarding
reached
41:23 62:14,18
51:23
regulate
read
51:4,7,10,17,21,25 55:7
11:2 39:1
61:7
reading
regulating
16:12,16 44:20
51:24
really
regulation
8:5 23:18 30:8
52:1,4 59:10,18
reason
regulations
42:9 68:7,15
71:25
reasonable
releases
59:6 63:11 68:12
45:23
reassured
relied
30:9 50:15 64:21
recall
rely
2:178:129:11 16:12,16,19 50:1,20 63:20
16:20,24 19:23 33:7 34:15 remain
36:5,6,7,9 41:1,5 47:15
24:22
51:1459:23 60:1361:2 remember
receive
2:15 9:20 34:5,10 35:25
18:8 36:2,3 40:14 44:20 59:22
received
removal
4:1,3 49:22 52:12 54:1
45:10
61:21
removed
receiving
16:3
33:5 removing
recess
45:8
39:13
rem|3
recessed
59:13
74:23
repairing
reckless
13:16
67:9,10
repeat
record
11:3,4
49:25 50:16
repeated
records
14:23 19:11
17:12
repeatedly
red 8:14
15:11
rephrase
reddening
58:19 68:20
14:24,25
replaced
refer
1:1 28:23 29:22 38:21
12:19 16:12
57:11 63:18
reference
replacement
42:20 43:21 44:13
47:14
report 34:5 39:18 40:9 50:7 52:11 69:1,10,12
reported 35:22 40:10
reporter 6:20 40:1 42:11
report 39:24
reporting 31:1240:1941:1 66:18
reports 32:21,22,23 33:4,7,10 36:11 50:5,21 52:16 53:24 54:1,19 60:20 61:17,20 67:23 68:1,3,7,22
represent 56:11
representative 1:21 17:9
representatives 48:13 49:5 51:15 53:6,13 53:25 61:20
represented 52:11
reputable 68:5
research 4:22
resistent 28:21 29:1
respect 8:6 18:7 44:10,11 54:9,18 55:2
respirator 29:14
response 53:22
responsibility 63:6,8
responsible 64:3
rest 43:5
restate 11:1
result 32:22
results 50:10 54:14
re|s 3:9
retire 1:18
return 21:2331:1432:11
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49511
[returned - specifically]
returned
sat
31:16
59:8,11
review
sauget
34:9 52:14
21:2,9,23 26:21,22
reviewed
saw
30:9 32:24 67:7
right
saying
3:22 9:16 10:14 12:3,4 13:3 21:24 39:24
15:21 21:15 22:1,25 24:6 says
26:3,24 27:14 28:8 37:18
69:12
39:10 40:7,17,25 42:7
schedule
43:15 48:17 50:22,25 53:23 64:13
64:7,20 69:21
scheduled
river
23:11
21:11,19
scheme
rivers
59:9
33:6,14
science
rk 4:1,4,5 53:9
67:21
scientific
robert
43:4
41:2 scientifically
role 42:25
49:9 scientists
room
33:20 34:3 73:11
54:17
score
roughly
37:17 59:1
13:22 22:16,17,20 23:19 sealants
route
45:19
35:12
sealed
rp 46:11
51:21
second
rubber
5:20 6:23 25:24 27:2
27:20,23,24 28:1,2,14,25 section
29:11
12:20 45:13
rubbers
seeing
29:2 3:19 16:20 33:16
rubber^
seeking
29:1 55:7 57:6 58:1,6,20
run seen
25:24 37:18
5:128:19 15:1 17:465:10
running
selected
61:1671:9
37:17
s
car rifirp
7016 safer
20:8 safety
18:10 69:22 70:17
sell 9:7
selling 47:4
sent 45:6
sentence 18:19
41:24 samples
33:14 sam|3
27:5
serve 42:2
served 15:7
services 19:22 20:23
set sit
58:1 11:16
seven
si|3
39:24 40:1 68:8
22:23 23:7
severe
situation
15:6 29:5 32:25
severer
situations
15:3 15:8
share
six
50:7 20:4 25:1 68:8
shared
skin
50:10
8:15 14:24,24 15:2,11,14
shipment
15:15,17 16:3
44:3 skyscrapers
shipped
45:20
7:12 sleep
shipping
36:4
20:22
smith
shoe
48:25 49:15
28:20,25
society
shoes
69:22
29:5,8
softeners
short
6:2
27:24 28:16
sold
show
8:7
62:5 sole
showed
28:21
37:22
somebody
shrimp
25:7 32:24,25
38:12
somet|3
shut
52:12
70:13
sore
shutdowns
15:12
70:2 sorry
side
1:3 20:1531:23
36:21 55:5,7 74:7
sort
similar
20:23 27:23
22:18 23:1,3 27:9,11
sounds
simply
46:19
67:9 source
sincere
8:21 27:2
69:20
south
sir 6:23
1:22 2:25 3:14 7:16 9:15 speak
11:13 12:1,25 15:24 16:7
3:4
17:6 23:9 27:21 29:17 31:9 special
31:18 32:3,15,17,19 33:3
24:2,3 45:21
35:9 40:5,17,24 41:17
specialized
43:14 46:19 48:22,24 49:1 28:14
49:24 52:17 54:24 58:22 specialty
59:21 61:24 65:8,14,25
41:3
68:5 70:7,15 71:7,17 72:8 specific
74:5 16:19 23:5,5 43:16
sir.|3
specifically
51:1 61:6 71:10
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49512
[spect - testing]
spect
stratosphere
supplement
tanks
68:5 41:9 3:18 43:18
speculation
streams
supplier
task
43:3
33:6,14 35:4
46:6
52:25 53:4 56:25
spell
street
supply
taught
6:1925:11
5:20 6:23
27:2
37:21
spend
stricken
supplying
technical
27:18
52:7
27:3
19:21 32:9
spent
strike
supported
technician
2:20 4:24 37:25
38:15 68:10
23:23
66:8
spoke
striving
suppose
technologically
49:8 61:18
57:8
8:19 32:9 61:11
47:13
sponsored
studies
sure
technology
61:5
32:23 38:9,18 48:20,21
22:7 36:23 45:25 49:12
53:9
St
49:2,10,13,14,17,22,23
66:20 69:1 71:22
telephone
5:20 6:23 31:12,14,16
50:1,5,10,15,15,23 52:7,8,9 surface
37:24
37:24 62:20
54:22 62:2,11,12,13,14,18 46:5
tell
standard
66:24 69:5
suspicious
3:23 4:18 5:17 13:6 19:24
56:22 57:3
studiesp
68:15
30:7 32:12 37:3 40:12
start
39:5
sustained
54:12,14 64:9,15,15 65:15
4:16 17:1548:7,15
study
58:19 68:21
65:18
started
20:5 34:15 39:4 50:19
sustain
telling
32:1 33:25 45:8 48:4
54:15 73:12
69:14
2:10
starting
stuff
SUp
tellp
8:25 48:3
68:13 73:4,16
68:5
65:13
starts
subject
Sweden
temperature
14:18
37:1 61:1962:16
34:1
72:7
state
substance
sworn
temperatures
4:6
70:6 72:11
1:7,11
22:21
statement
subways
symptoms
ten
8:17 42:18 47:6 55:8 64:12 70:3
15:4 16:4 36:17
39:10,11,20 73:24 74:1,3
states
suggest
system
tenure
7:15 21:20 25:22 48:7
6:6 8:24 23:22 68:7
46:8 52:3
31:7
56:1361:6,12
suggested
systems
ter
statute
68:15
7:8 8:1 14:12 46:7,10,12,15 39:24
70:9
suggestion
46:16 47:3,8,11,11,21,21 term
stay
68:11
47:23,25 48:1,5
50:19 56:1
31:14 37:1 42:15,16,18 summaries
systep
terminate
staying
49:6 50:5
14:10
1:18
42:21
superintendent
steel
13:8 19:21,25 20:22 24:23
28:20
24:24 25:1
step
superiors
74:17
69:4
Stic supervise
70:16
13:10
stop
supervised
43:12 47:18,22 55:15 73:25 13:11 25:4
74:6 supervising
stopped
6:8
40:4 47:4 70:14
supervisor
stopping
11:19
69:24
supervisors
storage
13:13
23:12
supervisory
6:10
t
taken 5:9 33:14 39:13 44:2
talk 3:22 12:3,5 13:19 25:24 26:13 28:18 67:22 71:10
talked 4812
talking 7:19 18:5,22,25 19:4 23:2 31:2 39:19 48:7,15,21 49:13 50:2 69:4
tankpr
17:18,21 30:20 31:2 55:1 tankers
36:13 73:2,14
terminated 47:12
termination 41:23
terms 37:22 50:18
test 38:10 62:5,6
testified 1:11 44:17 48:23
testify 18:24 65:9
testimony 1:1 2:1 45:14 49:15 66:23
testing 38:11 54:8
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49513
[tests - value]
tests
throw
toxicologists
u
63:2 64:4,5,10,13,22 65:15 29:9
63:15
u.s.
test|s
thrust
toxicology
53:6
64:16
41:14 59:14,23
4:11,14 37:5,22 66:12,14 uesswork
tever
th|3
66:16
43:5
16:3
19:1 25:25 49:19 62:3
trade
unacceptable
th till
22:6 67:17
2:4,15 3:19 4:12,22 5:5,25 20:13
transfer
underlying
6:21 8:24 9:11,21 10:6 12:5 time
7:8 46:15 47:21 48:5
68:25
13:10 14:19 15:2 16:12
1:25 2:206:11,13,188:14 transformer
understand
17:7 19:22 20:1521:10
8:159:11,17,17 11:13
9:18,21 71:1
14:19 16:1839:641:13,13
23:17 25:3 27:25 28:18
12:16 13:5,23,25 14:11,16 transformers
43:25 44:5 46:8 52:20
29:19 30:24 31:19 32:4
14:17 17:17 19:10,16 22:15 7:4 56:12,24
62:24 64:25 65:25
34:2 35:23 36:7,25 38:1,17 23:10 25:14,21 26:3,8 27:7 traveling
understanding
39:14 41:1,21 42:4 43:16
30:13,19 34:3,23 37:1 40:6 49:4
16:7 30:10 42:18 46:16
44:18 45:20 46:17 47:10
40:8 41:2 44:9 45:2 49:11 trial
understood
49:11 52:4 53:4,20 54:4
49:12,21 52:23,24 53:23
1:1,21 2:43:10,134:11
41:1453:1
55:5,14 56:8,18 58:11
55:4,5 56:16 57:5 71:7
5:13 65:9
undertake
59:22 60:16 61:11 62:12,20 72:10 73:8 74:22
tried
37:3,8
63:3,13 64:7 66:17 67:1 times
35:1 unit
69:5,23 71:3,24 72:8,17
44:25 72:17,22
true
5:23 23:17,23 40:22
73:1 74:12
tion
2:13 32:24 41:18 46:17
united
thank
22:15
51:8,9,12 52:3,25 55:3 57:6 7:15 21:20 25:22 48:7
1:2 31:25 44:15 52:6 58:13 title
61:9,10,13 62:12 65:21
56:1361:5,12
74:22
12:1726:1 31:22 32:11,12 67:2,5,19 69:1,16 72:7,7 units
thes|s
titles
truth
20:9
35:3
40:12
33:16
university
the|s
today
try
4:2,3,7
26:21 30:13
55:20 64:25 71:20
7:25 13:24 20:6 37:16
unknown
they|3
toe
39:11 40:14 45:16,18 53:5 3:4
17:16
28:20
trying
unprofessional
thick
told
2:15 22:19 23:3 51:4,7,10
67:11
37:24
12:8 15:15,18 43:6 44:24
51:17,21 53:15 58:11 59:2 ure
thing
54:9 64:1,12,22
61:6 63:10 71:8
19:11
42:3
tomorrow
ts
use
things
74:19
39:24
8:17 9:21 27:20 28:19 29:6
15:7 18:14 63:25
top
tp
29:7 35:20 36:16 44:3 45:8
think
37:15 63:19
20:5 28:9 68:22
49:2 52:6 56:23 58:21 60:2
7:25 8:5 9:3 13:24 17:10,17 tor
tubing
61:8 64:20 69:21 73:15
19:2 20:19 22:2 39:4 45:16 24:19
14:8 user
47:19 56:5 63:8,10 67:25 toth
ture
18:8 46:6
68:11,19 72:25
50:2
7:22 users
thinkers
toxic
turn
18:22 30:21 56:11 60:4
41:25
34:23 53:19 62:1,4 63:2
65:20
uses
thinking
70:6 72:11,17,22 73:6,17 turned
18:2 45:11,12,1446:1,2,3,5
15:5 46:14 69:15
toxicity
30:10 32:25
46:14
this|3
34:4 38:18 49:3 50:3,24 tutorial
utilities
37:18
53:20 54:19 68:9 69:5
37:20
20:22____________________
thi|3
72:20
type
48:18
toxicolog
7:18,22 14:5 20:23 23:13
v
thought
53:19
24:3 26:19 28:12,14 45:19 valid
16:6,12 29:3 68:24 69:2,3 toxicological
73:11
32:24 62:12
69:17
54:18 67:21
types
validity
three
toxicologist
4:21 24:1 26:20 28:9 53:13 52:9,10 69:8
49:17 62:21 63:20,21 64:1 66:17
value
69:8
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49514
[varied - yusho]
varied
wear
words
year
39:19
29:12
4:25 8:10 15:11 43:24 44:4 2:15,19 4:22 23:11 40:3
various
weeks
44:25 64:20
46:17,20 52:23
28:9
3:12 wore
years
varnishes
wells
27:15
4:21 5:1,7 8:20 16:17 30:1
45:21
4:23,24
work
36:10 38:17 39:20 47:3
vice
welp
1:154:16 11:7,7 13:1420:4 50:20 65:11 70:19 72:10
41:9 visit
41:11 wendell
28:20 29:24 69:8 70:3 worked
yP 44:9 58:20
38:7,10
40:19
14:8 65:21,23 66:4,6
yusho
visited
went
worker
35:14,19 36:12 54:15,16,17
38:3 62:21
3:23 63:22,24 65:13,23
15:19
60:10
vomiting 66:4 workers
36:16____________________ werp
18:6,10 23:15,25 24:2,13
w 46:2
27:19 29:4
waiting
westinghouse
working
1:3
14:17 18:24 56:7 59:16
1:19 4:20,22 13:21 14:6,9
want
wep
27:15 28:6 36:14
7:1 12:19 13:5,19 18:12,14 32:23
workplace
19:3,16 21:23 22:14,24 28:1829:1032:11 37:1,5
we've 5:14
58:11 59:4 works
37:16 39:8 49:12,20 50:13 whap
2:6
50:14 53:3 55:4,9 65:20
16:3
world
68:11 71:10 72:4,5,13,25 wheeler
31:1743:2 70:14
74:17 wanted
12:5,15 37:21 49:6,7 50:8 worldwide
50:10 52:8 54:4,6 63:19
33:19
57:10 58:14,24 59:6 61:12 65:3 66:21
worried
warehousing 20:22
wheelp 12:16
35:5 wop
warn 8:8 14:20 44:19 60:5 73:3
whetp 61:19
67:21 wouldp
warned
william
18:1
16:11 24:13 30:24
1:6,1021:6
woulp
warning
willing
55:24
8:7,18,21,22 10:9 15:4 16:10,24,24 17:5,8,19,20
74:6 win
wright 59:9 61:3 65:21,21,23 66:3
18:7,25 19:3 24:12,17
3:20 74:17
67:20 68:12,25 69:9
30:20,24 36:13,18 43:17 windows
wright's
44:10,11 54:25 60:3 73:14 45:20
66:24
warnings 18:5,18,21
winter 28:25
writing 17:2,4
Washington
wisest
written
4:2 74:11
42:3
17:25
wastes
withstand
wrong
32:8 29:8 58:9 68:2,5
watching
withp
wrote
15:7 8:6
69:10
water
witness
wp
58:7,10 59:11
1:6 2:2 31:24 39:25 74:19 7:12 52:21 65:22
watery
wm
X
36:3 1:1 xtremely
ways
word
73:17
4:23,23 weakness
36:4
8:12 9:21 19:1,6 22:2 30:14
37:6 52:10
y
wording
yeah
8:11 2:8 39:9 63:5 70:5
Papageorge, William P.E. (fmr Mons Mgr Occ Hlth) in G. BROWN (2)
TOWOLDMONOQ49515