Document 2J6MLGzob2qvMp4gezkz9Gpmp

1 other, non-asbestos-containing components, into brake shoes. 2 These brake shoes have been distributed and sold nationwide. 3 INTERROGATORY NO. 10: 4 If the answer to Interrogatory No. 3, No. 6 or No. 9 is affirmative, please state as to each affirmative answer: 5 (a) The trade or brand name of each product mined, 6 manufactured, and/or marketed; 7 (b) the dates each product was placed on the market; 8 (c) The dates each product was withdrawn from the market; 9 (d) A description of the chemical composition of each 10 product, including the type of asbestos contained in each such product (i.e., amosite, chrysotile, crocidolite) and the quanti 11 tative percentage of asbestos in each product; 12 (e) A description of the physical appearance of each product; 13 (f) A detailed description of the intended uses of 14 each product; 15 (g) The name of the manufacturers of each product; 16 (h) The mining or milling concern from which the raw asbestos was obtained. 17 RESPONSE TO INTERROGATORY NO. 10: 18 (a) - (b) Wagner friction products have been distrib 19 uted and sold under the following brand names during Plaintiff's 20 alleged exposure period to brake products: 21 Wagner/Wagner Lockheed 1967-1976 22 Wagner - 1976-1983 23 Chatham 1976-1983 24 (c) Wagner has not discontinued assembling, selling 25 or distributing its brake products. 26 (d) Wagner does not know the contents by weight of 27 the friction materials it purchases containing, among other 28 5