Document 2ja5z1Z4ZQoVr89Q57mJ3D6EN
NO. 90-13212
KENNETH THRAPP AND LINDA THRAPP
VS.
ARMSTRONG WORLD INDUSTRIES INC., ET AL
IN THE DISTRICT COURT OF DALLAS COUNTY, TEXAS 44TH JUDICIAL DISTRICT
ARMSTRONG WORLD INDUSTRIES, INC.'S ANSWERS AND OBJECTIONS TO PLAINTIFFS1
INTERROGATORIES TO DEFENDANT
COMES NOW, Defendant, Armstrong World Industries, Inc., and
makes and files this its Answers and Objections to Plaintiffs'
Interrogatories to Defendant as follows;
GENERAL OBJECTION. STATEMENT AND LIMITATIONS
These responses are based on facts known to or believed by
Armstrong at the time of answer. Because much of the information
is sought from many years ago and is therefore difficult or
impossible to reconstruct or retrieve, we reserve the right to
amend these responses as, and if, new or better information becomes
available or if any error is discovered. These responses are from
Armstrong's records and knowledge and not those of its former
wholly-owned subsidiary, Armstrong Contracting & Supply Corporation
(hereinafter ACandS), which operated independent of Armstrong.
Although Armstrong manufactured nonpariel asbestos-containing
insulation materials from approximately 1910 until the early
1930's, Armstrong is not aware of any current personal injury
claims with respect to those products; thus, no answers are given
concerning those products.
Armstrong's contract department
expanded into the high-temperature insulation contracting field at
ARMSTRONG WORLD INDUSTRIES. INC.'S ANSWERS
AND OBJECTIONS TO PLAINTIFFS' INTERROGATORIES
Page 1
COMMONWEALTH OF PENNSYLVANIA COUNTY OF LANCASTER
ss
I, the undersigned, J. H. Miller, Jr., being first duly sworn according to law, depose and say that I am an Assistant Secretary of Armstrong World Industries, Inc. The information contained in the responses hereto was gathered pursuant to my overall guidance by employees of this Company. I have no personal knowledge of same but am informed and therefore believe the answers to be true and correct. The responses have been prepared by counsel. I am executing this affidavit solely for the purpose of affixing the Company's signature hereto.
DATED:
JANUARY 30, 1991
ARMSTRONG WORLD INDUSTRIES, INC.
A Pennsylvania Corporation
BY:
_ ,Assistant Secretary
On this 30TH day of JANUARY
, 1991, before me personally
appeared J. H. Miller, Jr., to me known to be the person described herein,
and who executed the foregoing instrument and who acknowledged that he
voluntarily executed the same.
Notary Public
10.
Dr. Elliott Hinkes, a board certified oncologist and hematolo gist at 301 North Prairie Avenue, suite 311, Inglewood, California 90301. Dr. Hinkes win testify concerning the
relationship of asbestos and smoking to the development of cancer. Dr. Hinkes will also testify concerning the incidence
of lung cancer among individuals with asbestosis or exposure to asbestos-containing insulation products.
11.
Dr. Keith Morgan, who win testify on state-of-the-art and the
Saranac papers, to the effect that the Defendants could not have known and users were at risk until approximately the late 1960's.
12.
Dr. Forde A. Mclver, Pathology Associates, P.A., 135 Rutledge Avenue, Charleston, South Carolina 29401. Dr. Mclver will testify on state-of-the-art and the Saranac papers, to the effect that the Defendants could not have known end users were at risk until approximately the late 1960's.
13.
Dr. Joseph M. Miller, Box 365, New Hampton, New Hampshire. Dr. Miller will testify on state-of-the-art and the Saranac papers, to the effect that the Defendants could not have known end users were at risk until approximately the late 1960's.
14. Dr. Jesse Steinfield, who will testify concerning government warnings, smoking, and some areas of state-of-the art.
15.
Dr. Stephen Ayres, Sanger Hall Room 1-014, Box 56 5, MCV Station, Richmond, Virginia 23298. Dr. Ayres will testify on state-of-the-art and the Saranac papers, to the effect that the Defendants could not have known end users were at risk until approximately the late 1960's.
16.
Dr. Elvin Adams, General'Conference of SDA's, 6840 Eastern Avenue, N.W., Washington, D.C. 20012. Dr. Adams will testify on asbestos-related diseases' effects, and in particular on smoking's effects.
17.
Dr. Thomas Wheeler, The Methodist Hospital, Department of
Pathology, 6565 Fannin Street, Mail Station 205, Houston,
Texas 77030.
Dr. wheeler will testify regarding general
pathology and the pathology of the Plaintiff and/or Plain
tiff's decedent.
18.
Dr. Robert O'Neal, Route 1, Box 168, Perkinston, Mississippi 39573- Dr. O'Neal will testify regarding general pathology and the pathology of the Plaintiff and/or plaintiff's dece dent.
DEFENDANTS 1 LIST OF EXPFPT WITNESSES -
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Page 4
NO. 88-9327-A
KENNETH THRAPP AND LINDA THRAPP
ARMSTRONG WORLD INDUSTRIES, INC., ET AL.
IN THE DISTRICT COURT
DALLAS COUNTY, TEXAS 14TH JUDICIAL DISTRICT
ARMSTRONG WORLD INDUSTRIES. INC.'S AMENDED ANSWERS AND OBJECTIONS TO PLAINTIFFS'
INTERROGATORIES TO DEFENDANT
COMES NOW, Defendant, Armstrong World Industries, Inc., and
makes and files this its Amended Answers and Objections to Plaintiffs' Interrogatories to Defendant as follows:
GENERAL OBJECTION. STATEMENT AND LIMITATIONS
These responses are based on facts known to or believed by Armstrong at the time of answer. Because much of the information
is sought from many years ago and is therefore difficult or impossible to reconstruct or retrieve, we reserve the right to amend these responses as, and if, new or better information becomes
available or if any error is discovered. These responses are from
Armstrong's records and knowledge and not those of its former
wholly-owned subsidiary, Armstrong Contracting & Supply Corporation
(hereinafter ACandS), which operated independent of Armstrong.
Although Armstrong manufactured nonpariel asbestos-containing
insulation materials from approximately 1910 until the early
1930's, Armstrong is not aware of any current personal injury
claims with respect to those products; thus, no answers are given
concerning those products.
Armstrong's contract department
expanded into the high-temperature insulation contracting field at
ARMSTRONG WORLD INDUSTRIES. INC.'S AMENDED
ANSWERS AND OBJECTIONS TO PLAINTIFFS' INTERROGATORIES
Page 1
insurance carrier, but Armstrong does not believe that Dr. Hinshaw spoKe with Armstrong officials or employees.
Respectfully submitted, DeHay & Blanchard Plaza of the Americas 600 North Pearl Street 2500 South Tower, LB 201 Dallas, Texas 75201-2880 Telephone (214) 953-1313 Telecopier (214) 220-0439
CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy of the above and foregoing document has been forwarded to counsel for Plaintiff, by Hand Delivery, on this the^day of April, 1991.
J&U
GARY D.
ARMSTRONG WORLD INDUSTRIES. INC.'S AMENDED
ANSWERS AND OBJECTIONS TO PLAINTIFFS 1 INTERROGATORIES
Page 24
materials be generally applied or used without creating dust?
ANSWER;
Objection. This interrogatory/request contains an implicit assumption of matters not otherwise established, which renders the
interrogatory/request as argumentative, incapable of fair and correct answer, and without foundation. Without waiving same, if
this interrogatory means, can products be applied without creating
any dust whatsoever, even the minutest amount, the answer has to
be no since the application of any product raises at least the
atmospheric dust which has settled upon it.
8. Please list any written memoranda, specifications,
recommendations or any other written materials of any kind or
character existing which relate to the potential health hazards of
said asbestos-containing products or materials.
ANSWER;
Objection. This interrogatory is overly broad, vague and am
biguous.
Objection.
This interrogatory/request contains an
implicit assumption of matters not otherwise established, which
renders the interrogatory/request as argumentative, incapable of
fair and correct answer, and without foundation. Without waiving
same, Armstrong's understanding of the effects of asbestos on the
health of workers came about as follows;
Armstrong first became aware that the Commonwealth of
Pennsylvania listed asbestosis as a compensable disease in its
Occupational Disease Act and regulations at about the time of their
enactment in 1937. The payment or lire insurance, weekly sickness
ARMSTRONG WORLD INDUSTRIES. INC . 1 S AMENDED ANSWERS AND OBJECTIONS TO PLAINTIFFS' INTERROGATORIES
Page 7
and non-occupational benefits, total and permanent disability benefits, and retirement pensions were undertaken by Metropolitan
Life Insurance Company in 1931 for Armstrong and it undertook a number of plant surveys over time in order to determine ratings for
premiums and to identify and eliminate any potentially harmful
conditions. Air samples were taken in 1939, and one sample was
viewed as requiring a reduction of atmospheric dust for safety
purposes. A survey in 1948 included a description of asbestosis
and stated that "the threshold limit for asbestos dust adopted by
the American Conference of Governmental Hygienists at their 1948
meeting is 5 million particles of asbestos per cubic foot of air."
Armstrong now understands that such statement by Metropolitan
was consistent with a report of the U.S. Public Health Service,
authored by Dr. w. c. Dreessen in 1938, entitled "A Study of
Asbestosis in the Asbestos Textile Industry," wherein Dr. Dreessen stated that the threshold concentration of dust should be the
highest dust concentration of dust concentration that would not
produce pneumoconiosis in an originally healthy workman during his
entire working life, and that "5 million particles per cubic foot
may be regarded tentatively as a threshold value for asbestos dust
exposure until better data are available." Dr. Dreessen further
stated that "it would seem that if the dust concentration in
asbestos factories could be kept below 5 million particles..., new
cases of asbestosis probably would not appear." Armstrong is not
aware of any employee who developed asbestosis as a result of
exposure in any of its plants while asbestos was being used In
ARMSTRONG WORLD INDUSTRIES. INC.'S AMENDED
ANSWERS AND OBJECTIONS TO PLAINTIFFS 1 INTERROGATORIES
Page 8
those plants. Armstrong employed union insulators in its insulation
contracting business until the end of 1957. Armstrong's worker's compensation insurance carrier visited jobs in progress to inspect
job conditions and observe if reasonable safety precautions were
being taken, and at no time reported to Armstrong that insulators
were exposed to asbestos dust above the threshold limit values or
that hazardous conditions relating to asbestos existed on its job
sites. Armstrong was also informed that the Massachusetts Division
of Occupational Hygiene concluded that there did not seem to be an
apparent dust hazard in the occupation of pipe covering or in the
mixing of cement for pipe and boiler covering.
Furthermore,
Armstrong was told by Keasbey & Mattison, the manufacturer of heat
insulation materials it was installing, that its employees had been
manufacturing the products for years without any ill effects.
Armstrong now understands that the Massachusetts Department
of Industrial Hygiene Report was consistent with a 1946 study of
pipecoverers entitled- "A Health Survey of Pipe Covering Operations
and Constructing Naval Vessels," authored by Dr. Fleischer,
Professor Drinker and others, where they concluded that "it would
appear that asbestos pipe covering of naval vessels is a relatively
safe occupation."
Armstrong now understands that the Fleis
cher/Drinker conclusions were not criticized in the American
medical literature until about the time of Dr. Selikoff's pioneer
publications in the mid-1960s. Armstrong first became aware of
these pioneering studies of Dr. selikoff in the late 1960's
ARMSTRONG WORLD INDUSTRIES. INC.'S AMENDED
ANSWERS AND OBJECTIONS TO PLAINTIFFS 1 INTERROGATORIES
Page 9