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(ni) The years during which asbestos fiber was included m the composition of the automobile body filler under each trade or brand name;
RESPONSE TO INTERROGATORY NO. 126:
See Wagner's response to Interrogatory No. 125.
INTERROGATORY NO 127:
Identify all distributors of defendant's automobile body filler in and for the State of California, and for each distributor, state:
(a) the date(s) defendant's automobile body filler was sold or delivered to said distributor;
(b) the quantity and type, including trade or brand name(s), of defendant's automobile body filler sold or delivered to said distributor.
RESPONSE TO INTERROGATORY NO. 127:
See Wagner's response to Interrogatory No. 125.
INTERROGATORY NO. 128:
Has defendant directly or indirectly sold or distrib uted its automobile body filler to any of the following:
(a) Chrysler-Plymouth Corp.; (b) Ford Motor Company; (c) General Motors; (d) American Motors; (e) Nissan Motors; (f) Mitsubishi Motor Car Division; (g) Volkswagon; (h) British Leyland; (i) Sears & Roebuck.
RESPONSE TO INTERROGATORY NO. 128:
See Wagner's response to Interrogatory No. 125.
INTERROGATORY NO. 129:
If defendant's answer to any part of Interrogatory No. 128 is affirmative, please:
(a) state the date(s) during which defendant's automobile body filler was sold or distributed to each entity;