Document 2RpL5j0X4Qanm0qn5DXq64y0r
(c) Whether the defendant has supplied this mined and/or milled asbestos to any defendant herein since 1930;
(d) The date of each transactions;
(e) The dollar and tonnage amount of each sale;
(f) Whether any warnings, cautions, caveats or direc tions accompanied the materials referred to in (c); and
(g) The dates any warnings, cautions, caveats or directions referred to in subsection (f) first accompanied de fendant's asbestos-containing products.
RESPONSE TO INTERROGATORY NO. 7:
See Wagner's response to Interrogatory No. 6.
INTERROGATORY NO. 8:
state:
If your answer to Interrogatory No. 6 is no, please
(a) From what sources has defendant obtained mined asbestos since 1930:
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(b) Have any warnings, cautions, caveats or direc tions accompanied the material referred to in (a);
(c) The nature and extent of the warnings, cautions, caveats or directions referred to in (b);
(d) Approximately what date said warnings, cautions, caveats or directions first appeared on the mined asbestos.
RESPONSE TO INTERROGATORY NO. 8:
See Wagner's reesponse to Interrogatory No. 6.
INTERROGATORY NO. 9:
Has defendant, at any time from 1930 to the present, engaged in the processing, marketing and/or sale of products containing asbestos fibers?
RESPONSE TO INTERROGATORY NO. 9:
During Plaintiff's alleged exposure period to brake
products, Wagner purchased friction material containing, among
other components, asbestos modified by a bonding agent, coating
or binder or other materials and assembled this material with
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