Document 2qGenoRD1Zm5qrQ3Vq82KY6g5
FILE NAME: Hopeman Brothers (HB)
DATE: 1989 DOC#: HB041
DOCUMENT DESCRIPTION: Legal - Amended Answers to Interrogatories
IN RE:
PERSONAL INJURY ASBESTOS CASES
* IN THE * CIRCUIT COURT * FOR * BALTIMORE CITY
* CT-5 Shipyard Cases
*
* Case No. 87-048505 ***************************************************************
AMENDED ANSWERS OF HOPEMAN BROTHERS, INC. TO PLAINTIFFS'^ MASTER SET OF INTERROGATORIES TO ALL DEFENDANTS.
Now comes Hoperaan Brothers, Inc., by its attorneys, Robert
J. Lynott, Patricia O'Donnell, Ronald L. Mattie, and MOORE, LIBOWITZ & THOMAS, and hereby amends its Answers to Plaintiffs'
Master Set of Interrogatories to All Defendants. References to answers herein are references to the amended master answers in
this document.
GENERAL OBJECTIONS
LAW O FFICES
MOORE, LIBOWITZ a THOMAS
A PROFESSIONAL ASSOCIATION FIFTH FLOOR
3 0 0 N. CHARLES STREET BALTIM ORE. MARYLAND
21201-4303
1. The information supplied in these Answers is not based
solely on the knowledge of the executing party but includes t e knowledge of the party, '"agents, representatives, and attorneys
unless privileged.
...
2. The word usage and sentence structure may be that of the attorney assisting in the preparation of these Answers and thus does not necessarily purport to be the precise language of
the executing party.
3.
Def e n d a n t objects g e n e r a l l y to Plaintiffs' use
throughout these Interrogatories of the terms "asbestos
products", "Defendant's asbestos products", and Defendant s
asbestos-containing products". These are terms susceptible to
more than one meaning and include within their scope materials
not relevant to this litigation.
4.
Defendant objects to the definitions of the terms
lefendant" , "you" or " y o u r " on the grounds that such
ifinitions seek information from persons over which Defenda
is no control or to whom it has no access and Defendant
irther objects on the ground that this definition requires a
irticular Defendant to make a determination as to w
>rsons or firms purported to act on its behalf..
LAW O FFICES
MOORE. UBOW1TZ fit THOMAS
A PROFESSIONAL ASSOCIATION
FIFTH FLOOR
300 N. CHARLES STREET
BALTIM ORE. MARYLANO
21201-4303
5. D e f e n d a n t objects to the terms "which you have knowledge of" or "your knowledge" for the reasons set out previously in the above general objection.
6. Defendant objects generally to the use of the phrase "subsidiary, predecessor, or affiliate corporation", inasmuch as these terms are subject to a variety of meanings and the Plaintiffs have not assigned which definition they intend to use for these terms.
7. Defendant objects to these Interrogatories on the
grounds that they are often vague, ambiguous, subject to j various interpretations, and that they seek information which j
is not relevant and/or not reasonably calculated to lead to ,
discovery of admissible evident.
j
8. Defendant objects to Plaintiffs' grouping of all :
Defendants together in Master Interrogatories which are ;
oppressive and overbroad.
`
9. This Defendant states that it is not now and never has | been engaged in the business of mining, processing, or . manufacturing asbestos products, and accordingly is not knowledgeable of the composition of products allegedly containing asbestos. This Defendant has installed a variety of products, many of which may or may not have contained asbestos. Accordingly, these answers to these Interrogatories contain information only as to those products known by this Defendant to have contained asbestos.
10. Defendant objects to these Interrogatories on the grounds that there often is no limitation as to time period or relevant geographical area. Defendant limits its response to the relevant geographical area of Plaintiffs' claims.
11. Defendant objects to these Interrogatories on the grounds that they seek discovery in violation of the workproduct doctrine and attorney-client privilege and seek responses on behalf of other persons or entities.
12. D e f e n d a n t 's i n v e s t i g a t i o n is continuing and it reserves the right to amend or supplement these Interrogatories in the event that it acquires additional information which is responsive to these Interrogatories.
PRELIMINARY STATEMENT
Hopeman Brothers, Inc. objects to Plaintiffs' instructions
and d e f i n i t i o n s as over b r o a d and vague. Some of the
information sought is also excessively burdensome to collect
since it involves a large number of people either deceased,
2
retired, or no longer employed by Hopeman. In addition, to the extent that the interrogatories seek information not related to the time period when it is claimed that the Plaintiffs were employed. H o p e m a n Brothers, Inc. objects to such interrogatories since the information sought by Plaintiffs is not relevant to the subject matter of this lawsuit, nor is it reasonably calculated to lead to the discovery of admissible evidence. Hopeman Brothers, Inc.'s answers^, unless otherwise indicated, are therefore limited to the time period during which Hopeman Brothers, Inc. installed products containing asbestos. Hopeman Brothers, Inc. intends that its objections apply to all interrogatories, and does not intend to waive its objections by using its best efforts in providing answers to certain interrogatories. Hopeman Brothers, Inc.'s answers are
as accurate as they may be as of the date of the answers to these interrogatories. * Hopeman Brothers, Inc. will continue its i n v e s t i g a t i o n and u p d a t e its answers if additional information becomes available.
PART T - fiRNKRAT, TNTKRROGATORIES
interrogatory each such person is responsible. atjswrr t o INTERROGATORY NO.__Lt-Defendant objects to this
LAW O FFICES
ft THOMAS
A pr o fessio n a l a sso cia tio n
300 N. CHARLES STREET BALTIM ORE. MARYLAND
21201-4303
that the following corporate officers assisted in answering these interrogatories:
3
LAW O FFICES
MOORE. UBOWITZ a THOMAS
* PROFESSIONAL ASSOCIATION FIFTH FLOOR
300 N. CHARLES STREET BALTIM ORE. MARYLANO
2 1 2 0 1 .4 3 0 3
John E. Baker, Hopeman Brothers, Inc., 435 Essex Avenue,
P.0. Box 820, Waynesboro, VA 22980; 1649 Wickham Dr., #92,
Waynesboro, VA 22980; Vice-President and Secretary of Hopeman Brothers, Inc.
INTERROGATORY N O . 2;
Identify each "document" that was
examined, reviewed, and/or used in answering each
interrogatory, specify the interrogatory and identify the
present custodian of each document.
ANSWER TO INTERROGATORY NO. 2: Defendant objects to this
Interrogatory on the grounds that it is undvuly burdensome and impossible to answer as phrased. In addition, this question
invades privileged work product of Defendant's counsel and the
attorney-client privilege.
INTERROGATORY N O . 3: State whether you are a corporation. If
so, state: your corporate name: state of incorporation; date
of incorporation; address of principal place of business;
address(es) of any other place of business; whether, if you are
a "foreign corporation" as d e f i n e d in Maryland General
Corporation Law Sec. 1-101(1), you are now or have ever been
r e g i s t e r e d or q u a l i f i e d to do b u s i n e s s in the State of
Maryland; and the corporate name, state of incorporation and
date of incorporation1' of any subsidiary, predecessor or
affiliate corporation.
.
ANSWER TO INTERROGATORY n o . 3: Hopeman Brothers, Inc. was
incorporated September 15, 1930, in the state of Delaware. Its
principal place of business was New York City until 1976, when
it moved to Waynesboro, VA. Hopeman Brothers, Inc. was
certified to transact business in the State of Maryland in
1937.
INTERROGATORY N O . 4: have existed.
Identify all prior names by which you
ANSWER TO INTERROGATORY NO. 4: None.
INTERROGATORY N O . 5: If you have divisions which have ever mined, manufactured, produced, fabricated, imported,_converted, compounded, processed, sold, merchandised, supplied,
4
distributed and/or otherwise placed in the stream of commerce asbestos products, identify each such division and state the name, addresses and job titles of each person who supervised each division, specifying the applicable time periods.
ANSWER TO INTERROGATORY NO. 5; Defendant objects to this
Interrogatory on the basis that it is overly burdensome in
requesting Defendant to state information concerning any
asbestos products it may have " . . . distributed . . . or
placed in the stream of commerce." Plaintiffs improperly seek j
information which is not limited with respect to time period
v
,
1
and job location and which is, therefore, unduly broad.
j
INTERROGATORY NO. 6: Have you controlled, purchased or in any j
way acquired any interest in any corporation or business entity ; which has mined, manufactured, processed, produced, fabricated, ' imported, converted, compounded, processed, sold, merchandised, ; supplied, distributed, and/or otherwise placed in the stream of commerce asbestos products.
ANSWER TO INTERROGATORY NO. 6: Defendant objects. See
objections stated in Answer No. 5.
INTERROGATORY N O . 7: If^ your Answer to Interrogatory No. 6 is
in the affirmative, identify and attach copies of all documents
related thereto and state:
.
(A) The name(s), including prior name(s), and the
business a d dress (es) of any and all such corporation(s) or
business entity(ies);
:
(B) The date(s) on which you first controlled,
purchased or acquired said interest;
,
(C) The manner in which you acquired said interest, ;
i.e., cash purchase, merger, consolidation, exchange or sale of ;
assets, etcetera;
i
(D) The percentage of assets, ownership and/or ;
control acquired by you;
;
(E) Whet h e r the c o r p o r a t i o n (s ) or business
entity(ies) acquired by you continued to exist following the |
acquisition and, if not, the date on which its existence ;
ceased.
j
(F) The nature of and/or amount of consideration !
paid by you for said interest;
!
(G) The terms and conditions of any contracts or ,
LAW O FFICES
agreements by and between you and such corporation (s ) or [
MOORE, LIBOWITZ
business entity(ies), including, but not limited to, the terms i
THOMAS
and conditions .relating to the transfer of liabilities for j
A PROFESSIONAL ASSOCIATION obligations of such corporations(s) or business entity(ies) ;
j
FIFTH FLOOR
3 0 0 N. CHARLES STREET
BALTIMORE, MARYLAND 5
2 2 0 1 -4 S 0 3
(H) Whether you continued the manufacture, sale and/or distribution of such corporation's or business entity's asbestos or asbestos-containing products and, of so, whether you used the same product name(s) in so doing; and
(I) Whether there was an identity of name, officers, directors, personnel, property, suppliers, distribution outlets and/or clients between you and such corporation(s) or business entity(ies).
ANSWER TO INTERROGATORY n o . 7: Defendant objects. See
objections stated in Answer No. 5.
INTERROGATORY N O . 8: If you have directly or indirectly mined ;
manufactured, produced, fabricated, imported, converted, :
compounded, processed, sold, merchandised, supplied, installed, i
distributed, and/or otherwise placed in the stream of commerce ,
asbestos or asbestos-containing products state as to each such !
product, indicating separately those products dealt with by j
you, your predecessor(s) in interest, your subsidiary(ies), and :
your affiliate(s), if any, the following:
j
(A) Brand name, trade-name, and/or trade-mark;
'
(B) The generic name or identity;
(C) Description, including size, shape, color and
composition, i.e. solid, powder or other form;
(D) Chemical and physical composition, including,
but not limited to, the percentage of asbestos by weight and .
volume;
'
(E) Type of asbestos, i.e. chrysotile, amosite,
crocidolite, actinolite, anthophyllite, or tremolite,
indicating the percentage of each such asbestos fiber by weight
and volume;
..
(F) Intended marketable use;
(G) Dates during which each asbestos product was
mined, manufactured, produced, fabricated, imported, converted,
compounded, processed, sold, merchandised, supplied,
distributed, installed, bought and/or sold, and/or otherwise
placed in the stream of commerce.
'
ANSWER TO INTERROGATORY n o . 8: Defendant objects to this !
I n t e r r o g a t o r y on the basis that it is overly broad and j
b u r d e n s o m e in asking D e f e n d a n t to state the requested
information concerning any products containing asbestos it may
have " . . . distributed . . . or placed in the stream of
LAW O FFICES
MOORE, LIBOWIT2 a THOMAS
A PROFESSIONAL. ASSOCIATION FIFTH FLOOR
300 N. CHARLES STREET
BALTIM ORE. MARYLAND
21201-4303
commerce". A Plaintiff may be entitled to information concerning a specific time period and job location .relevant to
6
that Plaintiff, but the Interrogatory is not so limited, and
therefore, improper.
! Without waiving its objection, Hopeman Brothers, Inc.
installed, where specified, Marinite, Marine Veneer and
asbestos paper. Marinite panels, gray solid sheets measuring
4' x 8', were manufactured by Johns-Manville, and contained 33%
amosite or 55-60% chrysotile asbestos by weight. Marine Veneer j
panels, white solid sheets, generally measuring 4' x 4', were
manufactured by Johns-Manville. In very limited amounts, an
asbestos paper, white, 301b. weight, manufactured generally by
Johns-Manville and containing 95% chrysotile asbestos by
weight, was used as an acoustical sound transmission retardant.
On rare occasions, comparable products of Unarco, U.S. Plywood
and Phillip Carey were purchased for installation, although j
Defendant is unsure as to whether or not such products were
used in Maryland. To the extent that they exist, some
*
II
documents relevant to the installation of such products are j
located at the offices of Hopeman Brothers, Inc. in Waynesboro, ; II
VA.
|
LAW OFFICES
MOORE. LIBOWITZ ft THOMAS
A PROFESSIONAL ASSOCIATION FIFTH FLOOR
300 N. CHARLES STREET BALTIMORE. MARYLAND
2 1 2 0 1 .4 3 0 3
INTERROGATORY N O . 9: State whether you presently mine, manufacture, produce, fabricate, import, convert, compound, process, sell, merchandise, supply distribute, and/or otherwise place in the stream of commerce any asbestos product(s) listed in your Answer to the preceding interrogatory.
ANSWER TO INTERROGATORY NO. 9: See Answer No. 5. However,
without waiving its objection. Defendant states that it does
not presently install products containing asbestos.
i n t e r r o g a t o r y n o . IQ:
Identify each -individual who
participated in the design and preparation of manufacturing
7
LAW OFFICES
MOORE, LIBOWITZ
& THOMAS A PROFESSIONAL ASSOCIATION
FIFTH FLOOR SOO N. CHARLES STREET BALTIMORE. MARVLAND
2 l2 O t-4 3 0 9
specifications for each asbestos product identified in your Answer to Interrogatory No. 8.
ANSWER TO INTERROGATORY NO. 10: Not applicable.
INTERROGATORY NO. 11: State whether any written memoranda, specifications, blueprints or other written materials of any kind or c h a r a c t e r now exist relating to the design and preparation of the asbestos products identified in you Answer to Interrogatory No. 8. If so, identify:
(A) Each such written material or document; and (B) The custodian, identity and location of each such written material or document.
ANSWER TO INTERROGATORY NO. 11: No.
INTERROGATORY NO. 12: Identify, by location and product, each plant of yours in which the asbestos products identified in your Answer to Interrogatory No. 8 have been manufactured and/or assembled and the dates said plants have been in operation.
ANSWER TO INTERROGATORY NO. 12: See Answer No. 5, as well as
Answer N o . 8.
INTERROGATORY NO. 13: If you have discontinued mining, 1
manufacturing, producing, fabricating, importing, converting,
compounding, processing, selling', merchandising, supplying,
distributing and/or otherwise placing in the stream of commerce '
any asbestos products listed in your Answer to Interrogatory
No. 8, identify the products discontinued, give the date of
discontinuance and specify the reason(s) for such .
discontinuance.
1
ANSWER TO INTERROGATORY NO. 13: Defendant objects to this 1 I
I n t e r r o g a t o r y on the basis that it is overly broad and 1
!
burdensome in asking Defendant to state the requested j
information concerning any asbestos products it may have j
i
placed "in the stream of commerce". Without waiving its :
objection, Defendant was a ship joiner, end-user, which j
'
I
installed products.
'
INTERROGATORY N O . 14: If you have done so, when did you first | determine that any other material could be used in place of asbestos for high-temperature insulation or any other use to or for which asbestos has been applied. If you have, in fact, substituted other material(s) for asbestos in your product(s),
8
CAW OFFICES
MOORE. LIBOWITZ & THOMAS
A PROFESSIONAL ASSOCIATION FIFTH FLOOR
3 0 0 N. CHARLES STREET BALTIM ORE. MARYLAND
21201*4303
substituted other material(s) for asbestos in your product(s), then state:
(A) The identity of such substituted material(s); (B) W h e n the product(s) with such substituted material(s) was first marketed; and (C) The trade-name (s) and brand name(s) of the product(s) marketed with such substituted material(s).
ANSWER TO INTERROGATORY NO. 14: See Answer to Interrogatory
No. 13. Without waiving its objection. Defendant states that
it never made such determinations as these determinations were
made by the federal government and the manufacturers of such
products.
'
INTERROGATORY NO. 15: State whether you have ever made any
changes, alterations or modifications (hereinafter referred to
as "change"), to your asbestos products from 1930 to the
present. If so, state:
(A) The identity, by brand, name and trade-name, of
each such product;
.
(B) The date(s) each such product was changed or
altered;
(C) The m a n n e r in w h i c h each such product was
changed or altered, including, but not limited to, any changes
in the asbestos content or chemical composition of each such
product;
(D) The reason for each change or alteration;
(E) The identity of the person(s) responsible for
instituting each change or alteration;
a n s w e r TO INTERROGATORY NO. 15: See Answer No. 5, as well as
Answer No. 8.
INTERROGATORY NO. 16: Do you contend that any of the asbestos products listed in your Answer to Interrogatory No. 8 require change or modification before they may be used? If so, specify what change or modification is required for each such product.
ANSWER TO INTERROGATORY NO. 16: Products containing asbestos
were installed by Hopeman Brothers, Inc. in performing the
joiner work according to the specifications or ship owner's
instructions. Laminate was applied to some of the Marinite
before use. During its performance of the joiner work, Hopeman
Brothers, Inc. sized material to fit various configurations and
9
drilled and screwed to appropriate framing members. See Answer
to Interrogatory No. 8.
INTERROGATORY NO. 17: Identify all patents issued, or any applications made therefore, for any asbestos product listed in your Answer to Interrogatory No. 8. Specify the number of each patent, the date(s) of application, issuance and renewal, if applicable, to whom each patent was issued and the product(s) for which each patent was issued.
A N S W E R TO I N T E R R O G A T O R Y NO. 17: Not applicable. This
Defendant was an installer of products.
INTERROGATORY NO. 18: Identify all trade-marks registered for any products listed in your Answer to Interrogatory No. 8. Specify the number and date of registration, the term thereof, the date(s) of renewal, if applicable, by whom each trade-mark was registered and the product(s) for which each trade-mark was registered.
ANSWER TO INTERROGATORY NO. 18: See Answer 17.
INTERROGATORY N O . 19 : State whether you have installed,
distributed or sold any asbestos or asbestos-containing :
products which were mined, manufactured, produced, fabricated, ;
imported, converted, compounded, processed, sold, merchandised, :
.supplied and/or otherwise placed in the stream of commerce by j
persons and/or business entities other than you or your 1
predecessor(s) in interest or subsidiary(ies), if any. If so, '
state:
"
I
(A) The identity of each such person and/or business j
entity whose asbestos products you sold, installed, or ;
distributed on a product-by-product basis;
j
(B) The terms of all assignments, agreements, ;
licenses and other arrangements which relate to same, and
identify and attach copies of all such documents;
\
(C) As to each product, the brand name, trade-name
and/or trademark adopted and used by the source from which you
obtained said product for installation, distribution or sale;
(D) As to each product, the brand name, trade-name
and/or trademark adopted and used by you for purposes of ;
distribution, installation or sale of said product;
j
(E) The gene r i c name or i d e n t i t y of each such j
product;
]
(F) The dates during w h i c h you distributed,
installed or sold each such product;
(G) As to ea c h such product, a description,
including size, shape, color, composition, i.e. solid, powder
LAW O FFICES
MOORE, L1BOWITZ & THOMAS
A PROFESSIONAL ASSOCIATION
or other form; (H) As to each such product, the type of asbestos
and the percentage o asbestos, by weight and volume ; (I) As to each such product, its intended marketable
FIFTH FLOOR
3 0 0 N. CHARLES STREET
10
BALTIM ORE, MARYLANO
21201-4303
LAW OFFICES
MOORE, UBOWITZ
fik T H O M A S A PROFE3SIONAL ASSOCIATION
FIFTH FLOOR 300 N. CHARLES STREET BALTIMORE, MARYLAND
21201*4303
use; (J) The identity of each person and/or business
entity in the State of Maryland to whom or to which you sold, installed or distributed each such product;
(K) The identity of each contractor, subcontractor, installer or other business in the State of Maryland which ultimately installed, applied or used each such product; and
(L) Th.e custodian,, identity and location of each document which refers to or contains information relevant to such sale, installation or distribution.
ANSWER TO INTERROGATORY NO. 19: See objection stated in Answer
No. 8. Without waiving its objection, Hopeman Brothers, Inc.
installed, where specified, Marinite, Marine Veneer and \
asbestos paper. Marinite panels, gray solid sheets measuring
4' x 8', were manufactured by Johns-Manville, and contained 33%
amosite or 55-60% chrysotile asbestos by weight. Marine Veneer
panels, white solid sheets, generally measuring 4' x 4', were
manufactured by Johns-Manville. In very limited amounts, an
asbestos paper, white, 301b. weight, manufactured generally by
Johns-Manville and containing 95% chrysotile asbestos by
weight, was used as an'acoustical sound transmission retardant.
On rare occasions, comparable products of Unarco, U.S. Plywood
and Phillip Carey were purchased for installation, although
Defendant is unsure as to whether or not such products were
used in Maryland. To the extent that they exist, some
documents relevant to the installation of such products are
located at the offices of Hopeman Brothers, Inc. in Waynesboro,
VA.
INTERROGATORY N O . 20: Identify the distributors of your
asbestos products at any time during the period from 1930 to
the present and attach copies of all documents relating to said
distributors. For each distributor, indicate;
(A)
The terms of all assignments, agreemen
licenses- and other arrangements by and between you and said
distributor;
. '
11
LAW O FFICES
MOORE. LIBOWITZ ft THOMAS
A PROFESSIONAL ASSOCIATION FIFTH FLOOR
300 N. CHARLES STREET BALTIM ORE. MARYLANO
2 1 2 0 1 .4 3 0 3
(B) W h e t h e r the d i s t r i b u t i o n relationship was exclusive;
(C) The year or years in which the distribution relationship was in effect;
(D) The identity of your asbestos products which the distributor was authorized to and did distribute; and
_ (E) The q u a n t i t y of your asbestos products
distributed by the distributor on a year--by-year and
product-by-product basis.
*
ANSWER TQ_ INTERROGATORY N O . 20: Defendant objects to this
Interrogatory on the basis that it is overly burdensome. This
Interrogatory seeks information unrelated to the specific work
locations within this Court's jurisdiction and unrelated to the
dates when Plaintiffs were employed at particular work site
locations. To this extent, the information sought is not
relevant to the subject matter of this litigation and is not
reasonably calculated to lead to the discovery of admissible
evidence. Without waiving its objection, Hopeman Brothers,
Inc. had no distributors.
INTERROGATORY NO. 21: State whether you have ever sold,
distributed or otherwise furnished any of your asbestos products to any other person and/or business entity for resale, installation or redistribution at any time from 1930 to the present. If so, state;
entity; (A) The identity of each such person and/or business
(B) The brand name, trade-name and/or trademark adopted and used by you for each such product;
(C) The brand name, trade-name and/or trademark
adopted and used by each such person and/or business entity for each such product;
(D) The generic name or identity of each such product;
t i
(E) The year(s) in which each such product was sold,
distributed or otherwise furnished to each such person and/or
business entity, and for each year, the quantity of each
products sold, distributed or otherwise furnished;
(F) The intended m a r k e t a b l e use for each such product ;
(G) Whether each such product was intended to be
used, resold, installed or distributed by such other person and/or business entity in the same or substantially the same condition as it was when shipped or delivered by you; and
12
(H)
The custodian, identity and location of
documents pertaining to agreements for the resale,
distribution, or furnishing of your asbestos products to each
other person and/or business entity.
ANSWER TO INTERROGATORY NO. 21: Hopeman Brothers, Inc. was not
in the business of selling or distributing products containing
asbestos. Hopeman Brothers, Inc. was a ship joiner which
installed products.
INTERROGATORY NO. 22: State the following with respect to the !
i packages and containers in which you sold, distributed or !
otherwise furnished each of the asbestos products described in j
your Answer to Interrogatory Nos. 8 and 19'on a year-by-year ;
and product-by-product basis:
!
(A) A description of the package or container in !
which each product was sold, distributed or otherwise j
furnished, including composition, size, shape and color;
i
(B) A d e s c r i p t i o n of the m a r k i n g s or pri n t e d '
material that appeared on each package or container, indicating .
; the size and color of the same.
'
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(C) A d e s c r i p t i o n of any logo or other design
j appearing on the package or container;
,
(D) A verbatim description of any caution or warning
notice appearing on the package or container, setting forth the ,
year(s) in which each such notice appeared on each such
product; and
i
(E) A verbatim description of any instructions
appearing on the package or container.
'
ANSWER TO INTERROGATORY NO. 22: Defendant reasonably relied :
upon the manufacturers, to provide products as defined in the ,
ship's specifications.
LAW OFFICES MORE. LIBW IT2
THOMAS
A PROFESSIONAL ASSOCIATION FIFTH FLOOR
300 N. CHARLES STREET BALTIMORE. MARYLAND
21201-4303
INTERROGATORY NO. 23: If your answer to Interrogatory No. 22 reflects that any changes were made to the packages and containers in which you sold, distributed or otherwise furnished each of the asbestos products described in your Answer to Interrogatory Nos. 8 and 19, indicate as to each such package or container:
(A) The nature of each such change, e.g., changes in composition, size, shape and color, and/or changes regarding the placement, modification or removal of any color, logo, design, name, word, number, instruction, warning or other marking on the container;
(B) The date on w h i c h yo u d e c i d e d to make the change ;
(C) The date the container was in fact, changed; (D) The reason for the change;
13
LAW O FFICES
MOORE. U 80W ITZ ft THOMAS
A PROFESSIONAL ASSOCIATION FIFTH FLOOR
300 N CHARLES STREET ALTIMORE. MARYLAND
21201*4303
(E) The identity of each present or former employee,
officer, representative or agent of yours at any time from 1930
to the present with knowledge or information regarding your
decision to change any aspect of the package or container; and
(F) The custodian, location and identity of each
document in your custody, control or possession which contains
information relevant to your decision to change any aspect of
the package or container.
j
ANSWER TO INTERROGATORY NO. 23: Not applicable.
j
INTERROGATORY N O . 24 : For each asbestos product identified in j
your A n s w e r to Interr o g a t o r y Nos. 8 and 19, as being j
manufactured, sold, distributed, installed or otherwise ;
furnished by you, state:
;
(A) Whether you have actual packages or containers '
or photographs of packages or containers in which said products ;
were sold, d i s t r i b u t e d or o t h e r w i s e f urnished which is ,
representative of the appearance of the product and/or ;
packaging during the 1950s, 1960s, and 1970s, respectively; and !
(B) The identity of the custodian of said packages >
or containers or photographs thereof.
1
A N S W E R TO I N T E R R O G A T O R Y NO. 24: To the best of its
knowledge. Defendant states that it knows of none.
.
INTERROGATORY NO. 25: State whether you prepared or published any catalogues, brochures, or other documents describing products containing asbestos or asbestos components. If so, identify each such catalogue, brochure or other document and the custodian thereof. '
ANSWER TO INTERROGATORY NO. 29; None.
I N T E R R O G A T O R Y NO. 26: Identify ea c h pres e n t or former employee, officer, agent or representative of yours, who directed, handled, solicited, supervised, promoted or otherwise participated in the sale, supply, distribution, delivery, installation or removal in Maryland, at any time, from 1930 to the present time, of any asbestos products identified in your Answer to Interrogatory Nos. 8 and 19.
ANSWER TO INTERROGATORY NO. 26: Defendant objects to this
Interrogatory as unduly burdensome and overly broad.
INTERROGATORY NO. 27: For each person identified in your
A n s w e r to I n t e r r o g a t o r y No. 26 wh o p a r t i c i p a t e d in the .
advertising in Maryland of any asbestos products identified in
Interrogatory Nos. 8 and 19 at any time from 19 30 to the !
present, state:
I
(A)
His or her duties, responsibilities
inclusive years of employment;
*
I
14
inclusive years of employment;
(B) promoted and solicited.
The identity of each product offered, marke
ANSWER__INTERROGATORY NO, 27: None.
LAW OFFICES
MOORE. LIBOWITZ
et TH O M A S A PROFESSIONAL ASSOCIATION
FIFTH FLOOR 300 N. CHARLES STREET BALTIMORE. MARYLAND
21201-4303
INTERROGATORY NO. 28: Describe your corporate structure and policy concerning the subject of employee safety in the design, development, manufacture,.testing and use of asbestos products identified in your Answer to Interrogatory Nos. 8 and 19 from 1930 to the present. In your Answer to this Interrogatory, identify each present or former corporate department, division, subdivision or other group responsible for the above-described activities and, with respect to each, identify the name, title, duties, responsibilities, and current or last known business and residential address of the highest supervisory -employee with knowledge of any of those activities during any time from 1930 to the present.
ANSWER TO INTERROGATORY NO, 28: Defendant objects to this
Interrogatory on the grounds that it is unduly burdensome,
oppressive, and not reasonably calculated to lead to the
discovery of admissible evidence. without waiving its
objection, Defendant states that it was an end user of products
manufactured by other companies.
INTERROGATORY NO. 29: Describe your corporate structure
concerning the subject of research and development of asbestos products identified in your Answer to Interrogatory Nos. 8 and 19 from 1930 to the present. In your Answer to this Interrogatory, identify each present or former corporate department, division, subdivision or other group responsible for any of these activities and, with respect to each, identify
the name, title, duties, responsibilities, and current or last j
known b u s iness and residential address of the highest supervisory employee during any time form 1930 to the present.
ANSWER TO INTERROGATORY NO: 29 See Answer 28.
INTERROGATORY NO. 30: Describe your corporate structure
concerning medical directors, industrial hygienists or
consultants in these fields from 1930 to the present. In your
Answer to this Interrogatory, identify the name, title, duties,
responsibilities, period of employment, to whom the individual
reported, and the current or last known business and
residential address of each medical director, industrial
hygienist or consultant of yours, or of your predecessor(s) in
interest or subsidiary(ies), if any.
'
15
ANSWER TO INTERROGATORY NO. 30: None.
INTERROGATORY N O . 31: Identify any medical examination program
offered or sponsored by you or your insurance carrier, from
1930 to the present, for employees handling or otherwise
exposed to asbestos and/or asbestos products. with respect to
each such program, indicating applicable time periods, state:
(A) The manner of communicating with employees about
such program;
*
(B) Whether examination was optional or mandatory
and, if the latter, how frequently such examination was
required;
(C) What percentage of employees p ermitted to
undergo such examination actually participated;
(D) What percentage of employees who underwent such
medical e x a m i n a t i o n were found to have pneumoconiosis,
asbestosis, mesothelioma, lung cancer or other cancers; and
(E) With respect to the employees referred to in
your Answer to Part (D) of this Interrogatory, what percentage
of these employees were paid disability, and/or worker's
compensation benefits and for what percentage of employees were
medical expenses paid for purposes of treatment of such
condition.
ANSWER TO INTERROGATORY NO. 31: Defendant began such a medical
examination program in 1972, which program was mandatory for
all employees. Defendant is unaware of claims before it
terminated work at the shipyard.
LAW O FFICES
MOORE, UIBOWITZ & THOMAS
A PROFESSIONAL ASSOCIATION
FIFTH FLOOR
3 0 0 N. CHARLES STREET
BALTIM ORE. MARYLANO
21201-4305
INTERROGATORY NO. 32: State whether you or anyone on your
behalf ever conducted, engaged in or participated in any tests,
studies and/or research, (hereinafter referred to as "study",
concerning the human health consequences of persons coming in
contact with and/or inhaling and or ingesting asbestos fibers
or asbestos dust, during the manufacture and/or use of asbestos
products. If so, identify:
(A) What tests "studies" and/or research were done;
(B) The date or time period when the "studies" were
done ;
(C) The individuals who ordered and supervised the
tests, "studies" and/or research;
(D) The individuals or groups engaged in or who
participated in the test "study" and/or research;
(E) The substance of any recommendations and/or
suggestions given as a result of the test studies and/or
research. State when, by whom and to whom said recommendations
were made, including the addresses of these individuals;
(F) All written documents including, but not limited
to, reports, memoranda, specifications and correspondence which
refer, relate or p e r t a i n to s aid tests, "studies" and/or
research; and
16
J*
(G)
The present custodian of the written docu
identified in your Answer to Part (F) of this Interrogatory;
ANSWER TO INTERROGATORY NO. 32; None.
INTERROGATORY N O . 33: State whether any of the medical
directors, industrial hygienists or consultants in the fields
identified in your Answer to Interrogatory No. 30 ever made any
recommendations and/or suggestions to you pertaining to' the
risks or hazards to persons involved in the manufacture or use
of asbestos products. If so, identify;
(A)
The date when said recommendations an
suggestions were made;
l1
(B) The individual to whom said recommendations
|i and/or suggestions were made;
|!
(C) The individual who made said recommendations
ji and/or suggestions;
'
J;j
(D) The suggestions; and
substance
of
the
recommendations
and/or
;
(E) What actions, if any, were taken by you as a
i result of said recommendations and/or suggestions.
i ANSWER TO INTERROGATORY NO. 33: Not applicable.
!!
|i INTERROGATORY NO. 34: State whether you have ever conducted or
! directed any studies to determine the amount of asbestos dust
in your asbestos product manufacturing facilities. If so,
identify:
(A) The date of each such study;
!
(B) The individual or group conducting each such
| study;
,,
ji
(C) The result or conclusion of each such study; to
|j each such study; and
,
i
(D) The present c u s t o d i a n of all documents
identified in your Answer to Part (D) of this Interrogatory.
A N S W E R TO I N T E R R O G A T O R Y NO. 34: Not applicable.
! | Defendant was an installer of products.
This
INTERROGATORY NO. 35: State whether any written memoranda, specification, blueprints or other written materials of any kind or character exist relating to any testing of the asbestos products identified in your Answer to Interrogatory Nos. 8 and 19. If so, identify:
(A) Each such written material or document; and (B) The custodian, identity and location of each such written material or document.
LAW O FFICES
MOORE. UBOWiTZ ft THOMAS
A PROFESSIONAL. ASSOCIATION
FIFTH FLOOR
300 N. CHARLES STREET
BALTIMORE. MARYLAND
21201-4305
ANSWER TO INTERROGATORY NO. 35: No.
INTERROGATORY N O . 36: State whether, after you released to the public any of the asbestos products identified in' your Answer
17
to Interrogatory Nos. 8 and 19, you ever conducted or directed any tests thereon to determine potential health hazards involved in the use of the materials contained therein.
ANSWER TO INTERROGATORY NO. 36: This Defendant was an end
user of products manufactured by others.
INTERROGATORY NO. 37: State whether, prior to 1970, you ever
had any labor inspectors or persons from your company go to job
sites or other areas where your asbestos products were being
used or installed to make a dust level count. If so, indicate
when such a practice or procedure began, the purpose of the
practice or procedure and what action, if any was taken by you
in response to the findings made as a result of said practice
or procedure.
j
*
`
I!
ANSWER TO INTERROGATORY NO. 37: No.
j
INTERROGATORY NO. 38: State whether you ever conducted or 1
directed, any studies designed to learn how to minimize or j
eliminate the inhalation and ingestion of asbestos dust and j
fibers by those who use your asbestos products or are exposed ;
to asbestos dust or fibers therefrom.
ANSWER TO INTERROGATORY NO. 38: Defendant objects to this
Interrogatory on the basis that it fails to define use of the
term "studies" and the Interrogatory is therefore not capable
of being answered without speculation.
i
i
I INTERROGATORY NO. 39: Including, but not limited to the ' following list, please identify all trade organizations, associations or other entities to which you belong or belonged. Said organizations, etcetera, include, at a minimum, the
following:
LAW O FFICES
MOORE. LIBOWITZ ft THOMAS
A PROFESSIONAL ASSOCIATION
FIFTH FLOOR
3 0 0 N. CHARLES STREET
BALTIM ORE. MARYLAND
21201*4305
Asbestos Textile Institute (ATI)
Industrial Hygiene Foundation and/or
Industrial Health Foundation (IHF)
Mineral Wool Institute
Industrial Mineral Insulation Manufacturers
Institute
Magnesia Silica Insulation Manufacturers
Association
National Insulation Manufacturers Association
(NIMA)
Thermal Insulation Manufacturers Association
(TIMA)
Asbestos Information Association (AIA)
Quebec Asbestos Mining Association (QAMA)
National Safety Counsel
'
18
LAW O FFICES
MOORE, LIBOWITZ & THOMAS
A PROFESSIONAL ASSOCIATION
FIFTH FLOOR 300 N. CHARLES STREET
BALTIM ORE. MARYLANO 212 01.4303
Asbestos Cement Producers Association Refractories Institute
ANSWER TO INTERROGATORY NO. 39: Defendant is a member of the
Society of Naval Architects and Marine Engineers, the
Shipbuilders' Council of America, and the American Society for
Testing and Materials. Defendant has not ever been a member of
the above-referenced organizations.
INTERROGATORY N O . 40: For each trade organization, association
or other entity identified in your Answer to Interrogatory No.
39, state:
(A) Dates of membership
'
(B) Type of membership, i.e., regular or associate;
(C) The dates and type of meetings you attended and
the identity of the individuals who attended such meetings on
your behalf;
(D) The identity, title, duties and responsibilities
of any individual who held an elected, appointed or self-
designated position within said organization;
(E) The nam e s of any p u b l i c a t i o n s or w r i t t e n
materials distributed by or on behalf of said organization; and
(F) The identity of the present custodian of all
written materials, notes, summaries, minutes or transcripts
relating to the transactions and proceedings of said
organization
ANSWER TO INTERROGATORY NO.40: Defendant objects to this
Interrogatory on the grounds that it is not calculated to lead
to the discovery of admissible evidence, and is overly broad,
vague, burdensome in its scope, and lacking in relevance to the
particularities of the case at bar.
i n t e r r o g a t o r y NO. 41: For each trade organization, association or other entity identified in your Answer to Interrogatory No. 39, identify by date and subject matter, all studies, tests, research, recommendations, suggestions, seminars, symposia and/or speeches conducted or made which concerned, discussed, addressed or dealt with the actual, alleged or possible health hazards associated with exposure to asbestos.
ANSWER TO INTERROGATORY NO. 41: Defendant is unaware of any
such studies, tests, research, recommendations, suggestions,
seminars, symposia or speeches which may have concerned the
19
health hazards associated with exposure to asbestos.
INTERROGATORY NO. 42: With respect to each study, test,
research project recommendation, suggestion, seminar, symposium
or speech identified in your Answer to Interrogatory No. 41,
identify:
(A) The individuals or groups involved therein;
(B) The date(s) thereof;
*
(C) The complete results thereof;
(D) The recommendations, if any, which were made as
a result thereof; and
(E) The custodian, identity and location of each
document which represents, refers to or contains information
relating thereto.
j
|
I ANSWER TO INTERROGATORY NO. 42: Not applicable.
i
INTERROGATORY NO. 43: Describe each action taken by you as a \
\ result of each study, test, research project, recommendation, !
| suggestion, seminar, symposium and/or speech identified in your |
! Answer to Interrogatory No. 41. In your Answer to this !
Interrogatory, state the date of each action and the identity ;
of the individual(s) who initiated said action.
:
ANSWER TO INTERROGATORY NO. 43: Not applicable.
.
INTERROGATORY NO. 44: State whether you directed, sponsored,
financed, participated in or received the results of any
"studies" and/or tests performed by the Saranac Laboratory of
the Trudeau foundation concerning the human health consequences
of exposure to asbestos.'
.
ANSWER TO INTERROGATORY NO. 44: No.
INTERROGATORY NO. 45: If your Answer to Interrogatory No. 44
is in the affirmative, identify:
J
(A) All documents in your possession or control !
which summarize or explain the results of said studies or
tests;
(B) All communications, oral or written, between you
and Saranac Laboratory personnel, including but not limited to
Gerrit W. Schepers, M.D.;
j
(C) All documents relating to Saranac Laboratory :
studies or test which were received or submitted by you, either j
directly or indirectly through predecessor(s) in interest, ;
s u b s i d i a r y (i e s ) or a f f i l i a t e (s ), if any, through oth e r j
companies, or through any trade associations, organizations or !
entities;
(D) All recommendations or findings of such studies j
LAW OFFICES
MOORE. LBOW1TZ ft THOMAS
A PROFESSIONAL ASSOCIATION
in relation to: (i)
(ii)
' Adequacy or inadequacy of the
threshold limit values; . the substitution of materials for
FIFTH FLOOR
300 N. CHARLES STREET
20
BALTIMORE, MARYLAND
21201-4303
asbestos; and
(E)
The custodian
and/or communications identified in
Interrogatory.
and location of all docum your Answer to this
ANSWER TO INTERROGATORY NO. 45: Not applicable.
INTERROGATORY NO. 46: State the amount of money spent or contributed by you annually from 19 30 to the present *for research of the relationship between exposure to asbestos dusts, fibers and/or products and any pulmonary pathology and identify each person or organization to whom the expenditure or contribution was made.
ANSWER TO INTERROGATORY n o . 46: This Defendant objects to this
Interrogatory as it collaterally requests information obtained
in anticipation of litigation. Without waiving this objection.
Defendant is unaware as to any such moneys spent.
INTERROGATORY NO. 47: State whether you have ever maintained a
l i b r a r y (or libraries) whi c h c o n t a i n s books, articles,
periodicals, journals and/or reference materials that relate to
the subjects of asbestos, industrial hygiene, medicine, safety,
occupational disease and/or engineering. If so, state;
(A) The date each such library was established;
(B) The location of each such library;
(C) The identity of each librarian or other person
in charge of the operation and materials of each such library
since 1930;
b
(D) All journals subscribed to by you concerning
asbestos, industrial hygiene, medicine, safety and/or
engineering, occupational diseases;
(E) The title, publisher and date of subscription to
or acquisition of each book, periodical, journal and/or article
for each such library dealing with asbestos; and
(F) The title, author, publisher, date and dates of
acquisition of each such article and book for each such
library.
ANSWER t o INTERROGATORY n o . 47: Defendant objects to this
Interrogatory on the basis that it is overbroad and is not
limited to issues related to this litigation.
INTERROGATORY N O . 48: State whether any of the co-defendants in asbestos litigation have ever furnished you with any information as to the state of the medical knowledge at any time regarding the relationship between exposure to asbestos dusts, fibers and/or products and the contracting of diseases, including asbestosis, pneumoconiosis, mesothelioma,'lung cancer
21
and other cancers.
ANSWER TO INTERROGATORY NO. 48: Defendant objects to this
Interrogatory to the extent that it seeks counsel's work
product that might have been obtained in defense of this
litigation. Otherwise, the Defendant is unaware of such
information being provided, pre-litigation.
INTERROGATORY NO. 49: If your Answer is in the affirmative, please identify by stating the following:
(A) How the information was furnished; (B) Who furnished said information; (C) When said information was given to you; and (D) The substance of said information.
ANSWER TO INTERROGATORY NO. 49: Not applicable.
INTERROGATORY n o . 50: State whether, at any time since 19 30, you have interchanged, exchanged or communicated, the results of research, tests, studies or experiments regarding the relationship between exposure to asbestos dusts, fibers and/or products and the contracting of diseases, including asbestosis, pneumoconiosis, mesothelioma, lung cancer and other cancers, with any person, corporation or other business entity, predecessors and/or successors including co-defendants in this action.
ANSWER TO INTERROGATORY `N O . 50: No.
INTERROGATORY NO. 51: If your Answer in Interrogatory No. 50 is in the affirmative, then please state the following:
(A) Wh e n said interchanges, exchanges or communications occurred;
(B) The identity of those persons, corporations or business entities who participated in said interchanges, exchanges or communications;
(C) The content of said interchanges, exchanges or communications ; and
(D) The identity of the custodian of any documents which relate to said interchanges, exchanges or communications.
ANSWER TO INTERROGATORY NO. 51: Not applicable.
i n t e r r o g a t o r y NO. 52: Identify all persons who have testified on your behalf before the Occupational Safety and Health Administration, the National Institute of Occupational Safety and Health, any United States congressional committee, sub committee, administrative hearing or investigative proceeding or the subjects of the human health consequences of exposure to asbes-tos dusts, fibers and/or products and the setting.
22
modification, feasibility and acceptance of allegedly safe or proper levels of exposure to said asbestos and asbestos products.
ANSWER TO INTERROGATORY NO. 52: None,
INTERROGATORY NO. 53: Identify all documents presented to or u t i l i z e d in the p r e p a r a t i o n of testi m o n y before .the organizations, agencies or committees referred to in Interrogatory No, 52, specifying which documents were presented or utilized for each such body and the present custodian and location of each document.
j ANSWER TO INTERROGATORY NO. 53: Not applicable.
i1
1
l] INTERROGATORY NO. 54: For all testimony* or presentations
identified in your Answer to Interrogatory No. 52, identify:
(A) The dates and descriptions of the hearings and :
proceedings;
j
(B) The relationship b e t w e e n the person who i
testified or responded andyou; and
I
(C) Allstudies, testresults, scientific and/or !
j medical documents relied upon by each person as the basis for !
! any recommendation made or testimony given;
] ANSWER TO INTERROGATORY NO. 54: Not applicable.
INTERROGATORY N O . 55: State your knowledge relating to the
meaning of "threshold limit value" as it pertains to asbestos
exposure and disease.
.
ANSWER TO INTERROGATORY NO. 55: Defendant objects to this
Interrogatory as it requests a legal opinion or conclusion.
INTERROGATORY NO. 56: With reference to "threshold limit 1
value" (which, for purposes of this interrogatory, means how
much asbestos dust and/or fibers one can safely inhale, absorb !
or ingest without risk of disease or illness), state:
1
(A) When and by what means you obtained information
related thereto;
(B) The substance of any information imparted to you
regarding the same; and
(C) Whether and by what means you advised or warned j
anyone of details relating thereto.
j
ANSWER TO INTERROGATORY NO. 56: Defendant objects to this I
Interrogatory as it requests a legal opinion or a conclusion.
LAW OFFICES M <? R, LIBOYYITZ
a THOMAS
A PROFESSIONAL ASSOCIATION
FIFTH FLOOR 300 N. CHARLES STREET
BALTIMORE. MARYLAND 21201-4305
INTERROGATORY N O . 57: State whether you ever knew that any governmental, private agency, and/or other entity issued guidelines suggesting a "threshold limit value" (as defined in Interrogatory No. 62 for exposure to asbestos dust and/or
23
LAW O FFICES
MOORE, LIBOWITZ fit THOMAS
A. PROFESSIONAL ASSOCIATION
FIFTH FLOOR
300 N. CHARLES STREET
BALTIMORE. MARYLAND
2 !2 0 t-4 3 0 3
fibers. If so, state: (A) the identity of the agency or other entity which
issued said guidelines; (B) The verbatim content of said guidelines; (C) The date said guidelines were issued; (D) The date you were first aware of the purpose of
said guidelines; and (E) The custodian, location and identity of .all
documents related thereto.
ANSWER TO INTERROGATORY NO. 57: Defendant objects to this
Interrogatory as it requests a legal opinion or conclusion.
INTERROGATORY NO. 58: State whether you ever possessed knowledge of documents indicating that existing or proposed threshold limit values (as defined in Interrogatory No. 56) were not safe or proper or that lower threshold limit values were necessary in order to prevent diseases caused by exposure to asbestos. If so, identify:
(A) The source of such knowledge; (B) The persons who obtained such knowledge; (C) All documents relating thereto; and (D) The custodian and location of all documents identified in your Answer to Part (C) of this interrogatory.
ANSWER TO INTERROGATORY NO. 58: Defendant objects to this
Interrogatory on the basis that this Interrogatory assumes a
truth not legally proven. As well, the Interrogatory seeks
collateral information obtained in anticipation of litigation.
INTERROGATORY NO. 59: State whether you were ever made aware
that the proper method for determining safe levels of asbestos
dust was to test concentrations of asbestos fibers in the air
rather than the total number of asbestos particles in the air.
If so, state:
(A) The source of such knowledge;
(B)
The person who obtained such knowledge;
(C) All documents relating thereto; and
(D) The custodian and location of all documents
identified in your Answer to Part (C) of this Interrogatory.
ANSWER TO INTERROGATORY NO: 59: Defendant objects to this
Interrogatory on the basis that this Interrogatory assumes a
truth not legally proven. As well, the Interrogatory seeks
collateral information obtained in anticipation of litigation.
INTERROGATORY NO. 60: State in detail what tests or studies,
24
if any, you ever conducted or directed with regard to the quantity, quality, or threshold limit values (as defined in Interrogatory No. 56) of asbestos dust, fibers or particles to which insulators and others who use asbestos products and/or others working in the same vicinity are exposed.
ANSWER TO INTERROGATORY n o . 60: Defendant objects as related
in Answers 38 and 56.
'
INTERROGATORY NO. 61: State in detail what research, tests or studies, if any, you ever conducted or directed to determine whether the exposure of insulation workers or others to asbestos dust exceeded the American Conference of Governmental Industrial Hygienists' (A.C.G.I.H.) recommenced threshold limit values.
ANSWER TO INTERROGATORY NO. 61: Objection. This Interrogatory
as phrased appears to relate to asbestos thermal insulation
products which this Defendant did not install. To the extent
that this Interrogatory refers to anything else beyond that, it
is impermissibly vague and ambiguous.
INTERROGATORY NO. 62: State in detail what steps, if any, you ever took to determine whether the American Conference of Governmental Industrial* Hygienists; (A.C.G.I.H.) recommended threshold limit values for exposure to asbestos dust were accurate or reliable.
ANSWER TO INTERROGATORY NO. 62: None known.
INTERROGATORY NO. 63: State your knowledge relating to the ,
meaning of "dose response relationship" as it pertains to !
exposure to asbestos dusts, fibers and/or products and the j
contracting of disease, including asbestosis, pneumoconiosis, j
mesothelioma, lung cancer and other cancers.
j
ANSWER TO INTERROGATORY NO. 63: Defendant objects to this !
I
Interrogatory as it requests a legal opinion or conclusion.
j
Ii
INTERROGATORY N O . 64; State whether you have ever placed any j
warranties, guarantees or other such representations on any j
asbestos products identified in your Answer to Interrogatory j
Nos. 8 and 19 and/or on or in the containers or packages in
LAW O FFICES
MOORE. LIBOWITZ & THOMAS
A PROFESSIONAL ASSOCIATION
which said products were sold, distributed or otherwise placed in the stream of commerce.
ANSWER TO INTERROGATORY NO. 64: Hopeman Brothers, Inc. was the
FIFTH FLOOR
300 N. CHARLES STREET
BALTIMORE. MARYLAND
25
21201-4303
end user of all asbestos products described in the Response to
Interrogatory Nos. 8 and 19.
INTERROGATORY NO. 65: If your Answer is in the affirmative,
please state the following:
(A) The inclusive dates on which each such warranty,
guarantee or other representation appeared on or w i t h `the
product and/or on or in the container or package;
(B) A verbatim description of each such warranty,
guarantee or other representation;
(C) A description of the location on the product
and/or container where each such warranty, guarantee or other \
representation was placed;
j
(D) Each of your present orv former highest ;
supervisory employees with knowledge of the' decision to place ;
i any such warranties, guarantees or other representations on or
j with the product and/or on or in the container or package; and
(E) The custodian of all documents in your custody, j
possession or control which relate to or describe any such i
warranties, guarantees or other representations or the decision j
to place any of these on or with th e 'product and/or on or in !
the container or package.
i
t ANSWER TO INTERROGATORY NO. 65: Not applicable.
i
INTERROGATORY NO. 66: State whether the content and/or !
placement of any warranty, guarantee or other representation
described in your Answer to Interrogatory Nos. 64 and 65 was
ever changed. If so, for each such change, identify:
(A) The nature of the change, including a verbatim
description, if applicable;
(B) The date when the change was made and the
inclusive dates during which such change appeared on or with
the product and/or on or in the container or package;
(C) The persons with personal knowledge of the
reasons for making the change; and
(D) The custodian of documents in your custody, j
possession or control which relate to the decision and process :
of making the change.
;
ANSWER TO INTERROGATORY NO. 66: Not applicable.
;
INTERROGATORY NO. 67: State when and by what means you became
aware of the alleged hazards of exposure to asbestos dusts,
fibers and/or products to the health of persons coming into .
contact with, handling or using asbestos products.
'
ANSWER TO INTERROGATORY NO. 67: Defendant objects to this
LAW O FFICES
MOORE, UBOWITZ
I n t e r r o g a t o r y as it seeks factual admission to mer e ;
& THOMAS
A PROFESSIONAL ASSOCIATION allegations.
FIFTH FLOOR
3 0 0 N . C H A R LE S STREET 26
BALTIMORE. MARYLANO
2 1 20 1 -43 0 3
INTERROGATORY NO. 68: State when and by what means you became aware that exposure to asbestos dusts, fibers and/or products was acknowledged to be hazardous to the health of persons coming in contact with, handling or using asbestos products.
ANSWER TO INTERROGATORY NO. 68: Defendant objects to this
Interrogatory as it assumes a truth not legally proven.
INTERROGATORY NO. 69: State whether you ever
there is a causal connection between exposure to
and:
(A) Asbestosis;
(B) Pneumoconiosis;
(C) Lung Cancer;
v
(D) Mesothelioma; and
(E) Other cancers.
learned asbestos
.
that dust
ANSWER TO INTERROGATORY NO. 69: Defendant objects to this
Interrogatory as it requests a legal opinion or conclusions.
j
i n t e r r o g a t o r y N O . 70: If your Answer to Interrogatory No. 69
is in the affirmative, identify the following as to each such
disease listed therein;
(A) When and by what means you first became aware
of such causal connection;
.
(B) If your awareness of such causal connection was
obtained at any conference, lecture, convention, symposium, or
other such meeting, identify the event, the person who attended
on your behalf and/or any documents obtained from such event;
| and I
(C) If your awareness of such causal connection was
obtained from a medical or scientific study, or from any other
published works, identify the same.
ANSWER TO INTERROGATORY NO. 70: See Answer 69.
INTERROGATORY N O .71 : State whether you ever specifically ;
informed the purchasers and/or users of the products identified j
in your Answer to Interrogatory Nos. 8 and 19 that exposure to j
asbestos dust could cause asbestosis, pneumoconiosis, lung j
cancer, mesothelioma, and/or other cancers. If so, state:
j
(A) The date(s) of such notice to purchasers or j
users ;
:
(B) The means used for transmittal of such notice;
j
(C) The custodian, identity and location of each
document which refers to or contains information relevant to !
such notice; and
!
LAW OFFICES
M OORE. L.IBOW IT2
& THOMAS
(D) The identity of each person who made decisions [
regarding the furnishing of such notice to purchasers and/or j
users.
' .
;
A PROFESSIONAL ASSOCIATION
FIFTH FLOOR
300 N. CHARLES STREET
27
BALTIM ORE. MARYLAND
21201-4305
ANSWER TO INTERROGATORY NO. 71: Defendant objects to this
Interrogatory as it assumes a truth not legally proven.
INTERROGATORY NO. 72:
State whether you ever specifically
i nformed the distributors identified in your Answer to
Interrogatory No. 20 and/or those identified in your Answer to
Interrogatory No. 21 who resold or redistributed your asbestos
products that exposure to asbestos dust could cause asbesto'sis,
pneumoconiosis, lung cancer, mesothelioma, and/or other
cancers. If so, state:
(A) The date(s) of such notice;
(B) The means used for transmittal of such notice;
(C) The custodian, identity and location of each
document which refers to or contains information relevant to
such notice; and
%
ANSWER TO INTERROGATORY NO. 72: Not applicable. Hopeman
Brothers, Inc. was not in the business of reselling or
redistributing products.
I
INTERROGATORY NO. 73: State whether you ever provided any j
caution, notice, warning or other statement or explanation of ;
the potential health hazards of exposure to asbestos on or with j the asbestos products identified in your Answer to j
Interrogatory Nos. 8 and19.
;
ANSWER TO INTERROGATORY NO. 73: Defendant objects to this [
Interrogatory as it assumes the truth of a statement not j
proven. Without waiving its objection, Defendant states that !
it was an end user of products manufactured by others.
Nevertheless, in the early 1970's a label was affixed to the j
panels. The label stated:
LAW OFFICES
MOORE. LIBOWITZ A THOMAS
A PROFESSIONAL ASSOCIATION
FIFTH FLOOR
300 N. CHARLES STREET
BALTIM ORE. MARYLANO
zi20i*-303
CAUTION
CONTAINS ASBESTOS FIBERS
AVOID CREATING DUST.
BREATHING ASBESTOS DUST
j
MAY CAUSE SERIOUS BODILY
|
HARM.
j
INTERROGATORY NO. 74: Ifyour Answer to Interrogatory No. 73 |
is in theaffirmative state as to each product identified in j
yourAnswer to Interrogatory Nos. 8 and 19:
j
(A) The date(s) on which such caution, notice, |
warning or other statement or explanation first appeared;
(B) The identity of each person with knowledge of
28
decisions made regarding the use of such caution, notice,
warning or other statement or explanation; (C) The verbatim content of each caution, notice,
warning or other statement or explanation when it was first
used;
(D) Whether the caution, notice, warning or other
statement or explanation was ever altered, amended or changed.
If so, how, when and why was it altered, amended or changed;
and (E) The location of the caution, notice, warning or
other statement or explanation on each such product and/or its
container or package.
ANSWER TO INTERROGATORY NO. 74: See Answer 73.
INTERROGATORY N O . 75 : State when you first became aware that
asbestos products were being labeled with a caution, warning,
notice or other statement or explanation concerning the j
potential health hazards resulting from the use of asbestos \
products and/or exposure to asbestos dust or fibers- and j identify the product(s) and manufacturer(s) with which such j
label was connected.
j
ANSWER TO INTERROGATORY NO. 75; Defendant objects to this
Interrogatory as it is impermissibly broad and is not limited
or relevant to those products installed by this Defendant.
' '
i
Without waiving its objection, Defendant states that in the .
early 1970's Defendant became aware of such labels. See Answer 1
U W OFFICES M OORE. LIBOW IT2
ft THOMAS
A PROFESSIONAL ASSOCIATION FIFTH FLOOR
300 N. CHARLES STREET BALTIM ORE. MARYLAND
21*01-4303
73.
t
INTERROGATORY NO. 76: Identify the officer, agent, servant, ;
employees or other representative of yours who first obtained .
an awareness that asbestos products or packaging were being
labeled as described in Interrogatory No.75.
!
.
I
a n s w e r TO INTERROGATORY NO. 76: Unknown atthis time.
!
j
i n t e r r o g a t o r y NO. 77: Identify the custodian, identity and j
location of all documents related to the knowledge obtained by ;
you regarding and labeling of asbestos products as described in j
Interrogatory No. 75.
j
ANSWER t o i n t e r r o g a t o r y n o . 77: Defendant objects to this j
Interrogatory as it is impermissibly broad and is not limited j
j or relevant to those products installed by this Defendant.
Without waiving this objection, Defendant states that if such a
29
Hopeman Brothers, Inc. document exists, it would be located at
the offices of Hopeman Brothers, Inc. in Waynesboro, VA.
INTERROGATORY NO. 78: State when and by what means you first became aware that Johns-Manville Corporation or any of its affiliated companies placed on its asbestos products a caution, warning, notice, other statement or representation concerning the potential health hazards resulting from the use of asbestos products and/or exposure to asbestos dust or fibers.
ANSWER TO INTERROGATORY NO. 78; Objection. This Defendant
does not know when manufacturers began labeling their products.
INTERROGATORY NO. 79: Identify the officer, agent, servant, employee or other representative of yours who first became aware that Johns-Manville asbestos products were being labeled as described in Interrogatory No. 78.
a n s w e r TO INTERROGATORY NO. 79: Unknown at this time.
INTERROGATORY N O . 80: Identify the custodian, identity and location of all documents related to the knowledge obtained by you regarding the labeling of asbestos products by JohnsManville Corporation or its affiliated companies as described
in Interrogatory No. 78.
ANSWER TO INTERROGATORY NO. 80:
Defendant objects to this
Interrogatory as it is impermissibly broad and is not limited
or relevant to those products installed by this Defendant.
Without waiving this objection, Defendant states that if such a
Hopeman Brothers, Inc. document exists, it would be located at
the offices of Hopeman Brothers, Inc. in Waynesboro, VA.
LAW OFFICES
MOORE. LIBOWITZ Gt THOMAS
A PROFESSIONAL ASSOCIATION
FIFTH FLOOR 300 N. CHARLES STREET BALTIM ORE. MARYLAND
21201-4305
INTERROGATORY NO. 81: If upon learning that Johns-Manville Corporation or its affiliated companies labeled its asbestos products as described in Interrogatory No. 78 you did not apply such labels to the products identified in your Answer to Interrogatory Nos. 8 and 19, state:
A) The reason(s) for such a decision; (B) The identity of any agent, servant, employee, officer or representative of yours involved in discussions and decisions regarding the same; and (C) The custodian, identity and location of all documents pertaining to such a decision.
ANSWER TO INTERROGATORY NO. 81: Not applicable.
30
i n t e r r o g a t o r y NO. 82: State whether you specifically informed your employees, accents, servants and/or contract units that use of asbestos products and/or exposure to asbestos dust or fibers was either actually or alleged to be hazardous to their health.
ANSWER TO INTERROGATORY NO. 82; Defendant objects to this
Interrogatory as it seeks factual admission to mere allegations
and, as well, it includes factual assumptions which may not be
true.
INTERROGATORY NO. 83: If your Answer to Interrogatory No. 82
is in the affirmative, state:
_
(A) When and in what manner you first provided such
information to these persons; (B) The identity of any agent, servant, employee,
officer or representative of yours involved in discussions and decisions with regard to providing information to these
persons;
.
.
^
(C) The verbatim content of any written documents
and/or communications containing such information; and (D) The custodian, identity and location of all
documents which relate or pertain to providing such information
to these persons.
.
ANSWER TO INTERROGATORY NO. 83: Not applicable.
INTERROGATORY NO. 84: Describe in detail any precautionary procedures which you urged or required your employees, agents, servants and/or contract units to follow so as to reduce and/or avoid the potential hazards or dangers associated with use of asbestos products and/or exposure to asbestos dust or fibers and state when and how each such procedure was introduced to
these individuals.
a n s w e r TO INTERROGATORY NO. 84: This Defendant was not in the
LAW OFFICES M OORE. LBOW TZ
ft THOMAS
A TROPESSIONAL a s so c ia t io n
FIFTH FLOOR 300 N. CHARLES STREET BALTIMORE. MARYLANO
2 t2 0 1 > 4 3 0 3
business of manufacturing, selling or distributing asbestos products. This Defendant installed products according to s h i p 's specifications, some of w h i c h products may have contained asbestos. In 1966, this Defendant began developing vacuum saws. In 1968, the Defendant directed its employees to wear respirators when panels were being cut. i n t e r r o g a t o r y n o . 85: State whether you ever required your
31
employees, agents, servants and/or contract units who worked
with and around asbestos and/or asbestos products to wear
respirators, dust masks, protective clothing and/or other
protective devices. If so, state:
(A) Which employees, agents, servants and/or
contract units, by type of employment and department, were
required to use each such protective device;
(B) The date(s) on which the directive relative to
each such protective device was issued for each type of
employee and each department;
(C) Which type of protective device was required to
be used or worn by each type of employee and each department;
(D) The identity of any agent, servant, employee,
! officer or representative of yours involved in discussions and
i decisions regarding the same; and
;i
(E) The custodian, identity anvd location of all
ji documents pertaining to protective devices.
ANSWER TO INTERROGATORY NO. 85: See Answer No. 84.
i
; INTERROGATORY NO. 86: State whether at the commencement of an
j: individual's employment with you, from 1930 to the present, you
' informed that person as to possible' health ramifications of
! working with and around asbestos fibers, dust and/or products.
I; If so, set forth:
i
(A) The nature of the warning;
|
(B) The m a n n e r in w h i c h said information is
| communicated and, if the communication is in writing, attach a
copy hereto;
j
(C) When such practice was initiated; and
i
(D) By whom such information was communicated.
; a n s w e r TO i n t e r r o g a t o r y n o . 86: Defendant objects to this
I n t e r r o g a t o r y as it seeks factual admission to mere
! allegations. Further, this Interrogatory is overly broad,
vague, burdensome in the scope and not limited to information
pertaining to these Plaintiffs.
INTERROGATORY N O . 87: State whether, based upon the material contents, the manufacturing m e t h o d s and the method of i application or installation of your asbestos products (or the asbestos products installed or fabricated by you), that those asbestos products can generally be applied by an insulator or others without liberating asbestos fibers.
LAW OFFICES
MOORE. LIBOWITZ ft THOMAS
A PROFESSIONAL ASSOCIATION
FIFTH FLOOR 30 0 N. CHARLES STREET BALTIMORE. MARYLAND
2 120t -A30S
ANSWER TO INTERROGATORY NO. 87: This Defendant was an end user, a contractor or installer which used products manufactured by others. Defendant was not in the business of
32
installing asbestos thermal insulation.
INTERROGATORY NO. 88: State whether it was foreseeable to you that your asbestos-containing insulation products would have to be removed, stripped or replaced at any time after installation.
ANSWER TO INTERROGATORY NO. 88: Defendant objects to'the
Interrogatory on the basis that it calls for conclusions which
Hopeman Brothers, Inc. is not competent to make. Without
waiving its objection, Defendant states that it was not in the
business of installing asbestos thermal insulation.
I N T E R R O G A T O R Y NO. 89: State w h e t h e r you ever provided insulators and others who would be applying or removing your asbestos products instructions concerning safety precautions to use during use of or exposure to such products.
a n s w e r TO INTERROGATORY NO. 89: See Answers 87 and 88.
INTERROGATORY NO. 90: State when you first received notice that any person was claiming injury as a result of use of and/or exposure to asbestos products identified in you Answer to Interrogatory Nos. 8 and 19.
ANSWER TO INTERROGATORY NO. 90: Defendant objects to this
Interrogatory insofar as it requests information, unrelated to
the Maryland litigation or to the dates when Plaintiffs were
employed. Without waiving its objections, Hopeman Brothers,
Inc. states it first became aware of such a claim in 1979 in
this geographical area.
LAW OFFICES M OORE. LIBOW ITZ
a THOMAS
A PROFESSION AU ASSOCIATION
FIFTH FLOOR 300 N. CHARLES STREET BALTIM ORE. MARYLAND
2 1 2 0 1 --4 3 0 3
ANSWER TO INTERROGATORY NO. 91: With regard to the first
notice of c l aim of injury d e s c r i b e d in your Answer to
Interrogatory No. 90 and regarding all claims filed prior to
1970, for injury resulting from use of and/or exposure to
asbestos products, state: (A) The identity of each claimant; (B) The date of notice of each claim; (C) A description of each claim; (D) The type of injury allegedly sustained by each
claimant ; (E) The identity of each attorney representing the
individuals making such claims ;
33
(F) The style, case number and court applicable to each claim;
(G) The resolution of each claim; and (H) The custodian, identity and location of all documents which relate or pertain to each claim.
ANSWER TO INTERROGATORY NO. 91: Defendant objects to this
Interrogatory insofar as it requests information not related to
the Maryland litigation or to the Plaintiffs' employer. To
this extent, information sought by Plaintiffs in this
Interrogatory is not relevant to the subject matter of this
litigation and is not reasonably calculated to lead to the -j
l
discovery of admissible evidence.
j
INTERROGATORY NO. 92: State whether, prior to 1970, any person j
filed a claim against any worker's compensation insurance j
carrier which provided coverage for you alleging that he or she j
contracted a disease as a result of use of and/or exposure to
asbestos products identified in your Answer to Interrogatory
No. 90.
;
ANSWER TO INTERROGATORY NO. 92: To the best of Defendants' :
knowledge, none areknown.
,
INTERROGATORY NO. 93: If your Answer is in the affirmative,
provide the following information:
(A) A list of each such claim by claimant's name, :
date claim filed and jurisdiction; and
(B) A brief summary of the disposition of each such
claim.
i
ANSWER TO INTERROGATORY NO. 93: Not applicable.
INTERROGATORY NO. 94: State whether you ever received any ' reports or communications from your worker's compensation insurance carrier or products liability insurance carrier with regard to potential health hazards incident to use of asbestos I products and/or exposure to asbestos fibers or dust.
ANSWER TO INTERROGATORY NO. 94: Defendant objects to this ;
Interrogatory on the basis that it is overly broad and unduly j
LAW OFFICES
MOORE. UBOWITZ ft THOMAS
A PROFESSIONAL ASSOCIATION
FIFTH FLOOR 300 N. CHARLES STREET
BALTIM ORE. MARYLAND
Z t2 0 1 * 4 3 0 S
burdensome,speculativeand irrelevant to Plaintiffs' claims. ' Without waiving its objection. Defendant states that no such
34
records have been found concerning the period when Defendant
was working in the geographical area of this litigation.
INTERROGATORY NO. 95: If your Answer to Interrogatory No. 94
is in the affirmative, state:
(A) The substance of the contents of such reports or
communications, and attach copies thereof to your answers;
(B) The identity of the insurance carrier from which
you received each report or communication;
(C) The dates of each such report or communication;
and (D)
The custodian, identity and location of a
document whi c h relate or p e r t a i n to such reports or
communications.
ANSWER TO INTERROGATORY NO. 95: Not applicable.
INTERROGATORY NO. 96: State whether you ever maintained or operated a unit or unit of your corporation, including, but not limited to, divisions, subsidiaries or any other entity, which was/were under contract to apply or install the asbestos products described in your Answer to Interrogatory Nos. 8 and 19.
ANSWER TO INTERROGATORY NO. 96: None.
:
INTERROGATORY NO. 97: If your Answer to Interrogatory No. 96
is in the affirmative, identify and all claims filed by workers
in such contract units for disease arising out of useof 1
asbestos products and/or exposure to asbestos fibers ordust !
and, as to each such claim, state:
!
(A) The date on which you first received notice;
j
(B) The identity of the claimant;
;
(C) The nature of the claim;
j
(D) The style, case number and jurisdiction;
;
(E) The resolution of the claim; and
j
(F) The custodian, identity and location of all j
documents which relate or pertain to each claim.
ANSWER TO INTERROGATORY NO. 97: Not applicable.
I N T E R R O G A T O R Y NO. 98: Identify any and all insurance j
agreements entered into by and between any person carrying on an insurance business and you which may be available to satisfy part or all of a judgment that might be entered into this action or to indemnify or reimburse you for payments made to satisfy the judgment. As to each such agreement, identify the insurance carrier, the amount of coverage and the applicable
dates of coverage.
LAW OFFICES
MOORE. UBOWITZ & THOMAS
A m o r C S S iO H A L A M M O CtA TtO fi
FIFTH FLOOR 3 0 0 N. CHARLES STREET BALTIMORE. MARYLANO
21201-4303
ANSWER TO INTERROGATORY NO. 98: Liberty Mutual Insurance Company provided the basic underlying insurance coverage for
35
this Defendant. There is as well certain other exess coverage which may have been provided by other companies from time to time.
INTERROGATORY NO. 99: Describe the method by which you have maintained, records concerning the manufacture, sale, advertising, distribution, delivery and installation of each of the asbestos products identified in your Answer to Interrogatory Nos. 8 and 19.
ANSWER TO INTERROGATORY NO. 99: Defendant was simply an
inst a l l e r of products, some of w h i c h p'roducts may have
contained asbestos. Records, to the extent that they exist,
have been maintained at the offices of Hopeman Brothers, Inc.
in Waynesboro, VA.
INTERROGATORY NO. 1O0: With regard to the record-keeping
method described in your Answer to Interrogatory No. 99,
identify: (A)
. Each present and former corporate department,
division or subdivision responsible for maintaining the
records ;
*
(B) How the records are kept, e.g., in boxes, files,
on microfilm, microfiche or computer tape or disk;..
(C) The inclusive dates of manufacture, sale,
advertising, distribution, delivery and installation that the
record keeping system covers; (D) The location(s) whe r e such records are
maintained; and (E) The identity of each person employed by you at
any time from 1930 to the present, in the highest supervisory
capacity, who is or was directly responsible for the collection
and maintenance of such records.
ANSWER TO INTERROGATORY NO. 100: See Answer 99.
LAW OFFICES
MOORE, U0OW TZ ft THOMAS
A PROFESSIONAL ASSOCIATION
FIFTH FLOOR 300 N. CHARLES STREET BALTIMORE, MARYLAND
2 t2 0 t-4 3 0 3
INTERROGATORY N O . 101: If the record keeping system described
in your A n s w e r to I n t e r r o g a t o r y No. 99 includes use of :
microfile, microfiche, computer tape or disk or any other ;
system in which data is taken from other records, state whether i
you have retained the documents or other material from which ,
the information entered into these modes of storage was ;
obtained. If not, indicate:
J
(A) The date when and location where the original j
records were destroyed or discarded;
>
36
(B) The custodian and location of the records prior to their destruction; and
(C) The identity of each employee, representative, official or agent of your who ordered, authorized or supervised said destruction.
ANSWER TO INTERROGATORY NO. 101; See Answer 99.
INTERROGATORY N O . 102: State whether, at any time from 193 to the present, you made any representations that the presence of asbestos in the products identified in your Answer to Interrogatory Nos. 8 and 19 made these products superior, in any way, to any asbestos-free product or material intended for the same or similar use.
ANSWER TO INTERROGATORY NO. 102: None.
,,
.
INTERROGATORY NO. 103: If your Answer to Interrogatory No. 102 is in the affirmative, indicate with respect to each such
representation: (A) The date(s) on which the representation was
made; (B) Its exact content; and (C) The manner in which it was communicated.
ANSWER TO INTERROGATORY NO. 103: Not applicable.
INTERROGATORY N O . 104: State whether, at any time from 1930 to the present, you made any representations that the use of asbestos or the use of the asbestos products identified in your Answer to Interrogatory Nos. 8 and 19 was safe, harmless or not dangerous.
ANSWER TO INTERROGATORY NO. 104: To the best of Defendant's
knowledge, no.
INTERROGATORY NO. 105: If your Answer to Interrogatory No. 104
is in the affirmative, indicate as to each such representation:
(A) The dates (s) on which the representation was
made ;
(B) Its exact content; and
(C) The manner in which it was communicated.
ANSWER TO INTERROGATORY NO. 105; Not applicable.
LAW OFFICES
MOORE. UIBOWITZ & THOMAS
A PROFESSIONAL a s s o c ia t io n
FIFTH FLOOR 3 0 0 N. CHARLES STREET BALTIMORE. MARYLAND
21201-4303
INTERROGATORY n o . 106: State whether any of the asbestos products identified in your Answer to Interrogatory Nos. 8 and 19 were ever stored or warehoused by you in Maryland at any time from 1930 to the present.
ANSWER TO INTERROGATORY NO. 106: Defendant objects to this
Interrogatory on the grounds that it is unduly burdensome,
37
oppressive, and not reasonably calculated to lead to the
discovery of admissible evidence, and is not limited to
specific times applicable to this litigation. Without
waiving its objection, Defendant states products were
transported to shipyard for use by Hopeman Brothers, Inc.'s
employees. To the extent that products were not used on the
day delivered, they were stored in the building provided to
Hopeman Brothers, Inc. by the shipyard.
.
INTERROGATORY N O . 107 : If your Answer to Interrogatory No. 106
is in the affirmative, identify: (A) The address of each warehouse or storage
facility; (B)
The asbestos products stored or warehoused at
each warehouse or storage facility identified in your Answer to
part (A) of this Interrogatory; (C) The year(s) of such storage or warehousing; and
(D) The custodian, identity and location of each
document in your custody, possession or control which describes
or relates to such storage or warehousing.
ANSWER TO INTERROGATORY NO. 107: Specific address is unknown.
LAW OFFICES
MOORE. LIBOWITZ & THOMAS
A PROFESSIONAL ASSOCIATION
FIFTH FLOOR 30 0 N. CHARLES STREET BALTIMORE. MARYLANO
21 20 1-4 30 9
INTERROGATORY NO. 108: Identify the means by which the
asbestos products identified in your Answer to Interrogatory
Nos. 8 and 19 were transported to Maryland at any time from
1930 to the present and state: (A) If the asbestos products were transported by
rail, identify the name(s) of the railroad company(ies)
providing that service and the year(s) during which such
service was used; (B) If the asbestos products were transported by
truck, identify the name(s) of the carrier providing that
service and the year(s) during which such service was used;
(C) The asbestos products were transported by
vessel, identify the name(s) of the shipline providing that
service and the year(s) during which such service was used;
(D) The iden t i t y of each employee of yours
responsible for coordinating the transport or delivery of such
products to Maryland; (E) The identity of each employee, officer, agent or
r e p r e s e n t a t i v e of yours wi t h p e r s o n a l knowledge of the
transport or delivery of such products to Maryland; and
(F) The custodian, identity and location of each
document which describes or relates to the transport or
delivery of such products to Maryland.
38
LAW OFFICES M OORE. LIBOWTTZ
a THOMAS
A ^ROFESStONAl. ASSOCIATION
FIFTH FLOOR 30 0 N. CHARLES STREET BALTIMORE. MARYLAND)
21201-4303
ANSWER TO INTERROGATORY NO. 108: Products were shipped by
truck or rail.
INTERROGATORY N O . 109: Identify each person whom you expect to
call as an expert witness at trial, state the subject matter on
which each expert is expected to testify, state the substance
of the findings and opinions.
'
ANSWER TO INTERROGATORY NO. 109: The information requested is
presently unknown by this Defendant. However, Defendant
reserves the right to call any experts identified by any other
Defendant.
INTERROGATORY NO. 110: With regard to expert witnesses identified in your Answer to Interrogatory No. 109, identify by case name, date, court and case number and deposition and trial testimony given by each such expert and state the custodian and
location of transcripts thereof.
ANSWER TO INTERROGATORY NO. 110: See Answer 109.
INTERROGATORY NO. Ill: Identify each person who has testified on your behalf at trial or by deposition in a case alleging asbestos-related injury, state the custodian and location of transcripts thereof, and set forth the case name, number, court and date with respect to each proceeding in which the witnesses testified.
ANSWER TO INTERROGATORY NO. Ill: Defendant objects to this
Interrogatory as it calls for work product information prepared
in anticipation of litigation,
INTERROGATORY NO. 112: State whether you contend that asbestos products can be manufactured or treated so as to eliminate all potential health hazards to workers who use asbestos products and/or are exposed to asbestos fibers or dust. If so, explain in detail the factual basis for this contention.
ANSWER TO INTERROGATORY NO. 112: Defendant objects to this
Interrogatory on the basis that it requires an opinion of an
expert, and there may be divergence of opinion on this point.
Defendant, as an installer of products manufactured by others,
is without sufficient information to answer this Interrogatory.
39
The Defendant reserves the right to contend such.
t n t e r ROGATORY NO. 113: State whether you contend that any
person or business entity not presently a party to this action
is r e s p o n s i b l e in w h o l e or in part for any of the
plaintiff's (s') damages. If so, identify each such person or
business entity and state the facts which form the basis for
each such contention.
'
ANSWER INTERROGATORY NO. 113: Any manufacturer of products
identified as having been installed by this Defendant.
INTERROGATORY NO. 114: State whether you contend that asbestos products are not inherently dangerous. If so, state all material and relevant facts and documents which form the basis for such a contention.
ANSWER TO INTERROGATORY NO. 114: Defendant objects to this
I n t e r r o g a t o r y on the basis that it is a contention
Interrogatory and is overbroad. Further, it seeks a legal
opinion and work product.
INTERROGATORY NO. 115: State whether or not you contend that you did not have a duty to warn users of the asbestos products identified in your Answer to Interrogatory Nos. 8 and 19 of the hazards and risks of use. of and exposure thereto. If so, state all material and relevant facts and identify all documents which form the basis for such a contention.
ANSWER TO INTERROGATORY NO. 115: See Answer 114.
INTERROGATORY NO. 116: State whether or not you contend that you performed adequate tests of the safety of the asbestos products identified in your Answer to Interrogatory Nos. 8 and 19, and state all material and relevant facts and identify all documents which form the basis for such a contention.
ANSWER TO INTERROGATORY NO. 116: See Answer 114.
LAW O FFICES
MOORE. LIBOWITZ & THOMAS
A PROreSStONAC ASSOCIATION
FIFTH FLOOR 30 0 N. CHARLES STREET BALTIMORE, MARYLANO
21201-4303
INTERROGATORY NO. 117: State whether you contend that you did not conspire with others to allow asbestos products to be used without adequate warnings or without any warnings, regarding the hazards or risks of use of and/or exposure thereto. If so, state all material and relevant facts and identify all documents which form the basis for such a contention.
ANSWER TO INTERROGATORY NO. 117: Defendant objects to this
Interrogatory on the basis that its scope is grossly overbroad
40
and it seeks proof of a negative proposition through factual and document identification. Without waiving its objection.
Defendant states yes.
INTERROGATORY NO. 118: State whether or not you contend that there are circumstances under which asbestos products can safely be handled and used. If so, state all material and relevant facts and identify all documents which form the basis for such a contention.
ANSWER TO INTERROGATORY NO. 118; Defendant objects to this
Interrogatory on the basis that is overbroad. Further,
Defendant objects to this Interrogatory in that it requests an
opinion regarding which certain experts will differ, and the
specific products about which some experts will differ are not
listed.
i n t e r r o g a t o r y NO. 119: State whether or not you contend that there is now or ever has been a distinction between one or more of the following with respect to use of and^ exposure to asbestos products and the health hazards or risks relating thereto: miners, millers, textile workers, asbestos plant workers, insulators, shipyard workers, steel plant workers, building tradesmen, industrial workers, and brake lining mechanics. If so, state all material and relevant facts and identify all documents which form the basis for such a contention.
a n s w e r TO i n t e r r o g a t o r y NO. 119: Defendant objects to this
Interrogatory on the basis that it is vague, overbroad, and
seeks irrelevant information. Further, this Interrogatory
seeks the opinion of an expert and there is a divergence of
opinion on this point. This Interrogatory seeks information
the discovery of which will not lead to relevant or admissible
LAW OFFICES
MOORE. UBOWITZ & THOMAS
A PROFESSIONAL ASSOCIATION
FIFTH FLOOR 300 N. CHARLES STREET BALTIMORE, MARYLAND
21201*4903
evidence.
i n t e r r o g a t o r y n o . 120: State whether or not you contend that there are differences between asbestos fiber types specifically, chrysotile, amosite, crocidolite, actinolite, anthophyllite or tremolite, with regard to diseases they may be
41
c a p a b l e o f c a u s i n g . If so, s t a t e all facts, a n d i d e n t i f y a l l documents which form the basis for such a contention.
ANSWER TO TNTERROGATORY NO. 120; See Answer 114.
i n t e r r o g a t o r y NO. 121; If you are an insulation contractor,
identify all job sites at which you undertook the performance
of work within the State of Maryland from the date of the
inception of your company to the present and include as to each
such job site: (A) The identity of employees, including foremen and helpers;
(B) Dates;
(C) Location;
(D) Asbestos products used; (E) The identity of the general contractor and all
subcontractors;
'
(F) Contracts; (G) Bids ; (H) Specifications;
(I) Work orders; (J) Estimates; (K) Reports; and
(L) Job Books
ANSWER TO INTERROGATORY NO. 121; This Defendant was a ship
joiner. However, sometimes the ship required insulation behind
the panels. The insulation used was non-asbestos fiberglass or
mineral wool.
T N T E R R O G A T O R Y n o . 122: Name any person not heretofore mentioned having personal knowledge of the facts material to this case.
ANSWER TNTERROGATORY NO. 122: Defendant reserves the right to
identify corporate fact and expert witnesses, with reasonable
notice to Plaintiffs. PART TT - SPF.GTFTG INTERROGATORIES
TO BE ANSWERED SEPARATELY AS TO EACH PLAINTIFF
LAW OFFICES MOORE, UBOWITZ
a THOMAS
A PR O FE SS IO N A L A SSO C IA TIO N
FIFTH FLOOR 3 0 0 N. CHARLES STREET BALTIM ORE. MARYLAND
21201-4303
TNTERROGATORY N O . 1: Have you undertaken an investigation of the occurrence(s) alleged in plaintiff's Complaint? If so,
state:
. . ^, . (A) The identity of the person(s) participating m
each such investigation;
_
(B) Whether you have obtained statements from any
42
witness(es) and, if so, identify: (i) The identity of each such witness; and
(ii) The identity of the person in possession of each such statement.
ANSWER TO INTERROGATORY NO. 1: Discovery permitted under the
Maryland Rules of Civil Procedure has been or will^ be
undertaken by counsel on behalf of Defendant.
INTERROGATORY N O . 2: State whether you contend that you had no reason or duty to warn the plaintiff or the plaintiff's employer of the hazards and risks of use of and exposure to asbestos products. If so, state all facts and identify all documents which form the basis of such a contention.
a n s w e r TO INTERROGATORY NO. 2: Defendant objects to this
Interrogatory as it assumes the truth of a statement not
proven. Without waiving its objection. Defendant states that
it was an end user of products manufactured or mined by others. i
Nevertheless, in the early 1970's a label was affixed to the j i I
panels. The label stated:
!
CAUTION CONTAINS ASBESTOS FIBERS
AVOID CREATING DUST. BREATHING ASBESTOS DUST MAY CAUSE SERIOUS BODILY HARM.
INTERROGATORY N O . 3 : State whether you contend that you gave
adequate warnings to users of and to those exposed to your .
asbestos products, including the plaintiff, of the hazards and ,
risks of use of and exposure thereto. If so, state all facts ;
and identify all documents which form the basis of such a ;
contention.
.
!
ANSWER TO INTERROGATORY NO. 3: See Answer 2, Part II.
LAW O FFICES M O O RE, U B O W IT Z
& THOMAS A PROFESSIONAL ASSOCIATION
FIFTH FLOOR
300 N. CHARLES STREET
BALTIM ORE. MARYLAND
21201-4303
INTERROGATORY N O . 4: State whether you contend that you recommended safety procedures regarding the use of and exposure to asbestos products to the plaintiff or the plaintiff s employer. If so, state all facts and identify all documents which farm the basis of such a. contention.
ANSWER TO INTERROGATORY N O . 4: This Defendant installed
products to c o m p l y wi t h s h i p 's specifications. This
43
Defendant was an end user of products manufactured by others.
INTERROGATORY NO. 5: State whether you contend that the
plaintiff was exposed, if at all, to a safe amount of asbestos
or to less than the "threshold limit" of exposure to asbestos j
dust and fibers from the use of and exposure to asbestos
products. If so, state all facts and identify all documents
which form the basis of such a contention.
'
A N S W E R t o I N T E R R O G A T O R Y N O . 5: See Answer 2, Part II.
I
However, Defendant reserves the right to so contend.
j
INTERROGATORY NO. 6: State whether you contend that the plaintiff's disabilities or injuries are unrelated to the use of and exposure to asbestos products. If so, state all facts and identify all documents which form the basis of such a ( contention.
ANSWER TO INTERROGATORY NO. 6: Defendant contends that
Plaintiff's alleged disabilities or injuries are unrelated to .
alleged exposure to the products it may have installed. The
Defendant also reserves the right to contend that the Plaintiff
has no disability related to asbestos exposure.
INTERROGATORY N O . 7: *State whether you contend that the plaintiff's injuries are related in whole or in part to cigarette smoking. If so, state all facts and.identify all documents which form the basis of such contention.
ANSWER TO INTERROGATORY NO. 7: Defendant objects to this
Interrogatory on the grounds that it seeks an expert opinion
beyond the scope of these Interrogatories. Without waiving
this objection, Defendant states that it may so contend based
upon facts established in discovery or trial concerning use of
LAW O FFICES M O O RE. LIB O W ITZ
a THOMAS
A moreSSIOHAL Afi*OCATiOK
FIFTH FLOOR 3 0 0 N. CHARLES STREET BALTIMORE. MARYLAND
21201-4305
tobacco. INTERROGATORY N O . 8: State whether you contend that the plaintiff's injuries are due to an act of the plaintiff's employer. If so, state all facts and identify all documents which form the basis of such a contention. A N S W E R T O I N T E R R O G A T O R Y NO. 8; D e f e n d a n t objects to this
44
Interrogatory on the grounds that it is vague and ambiguous and
fails to specify the "employer" to which reference is made.
Without waiving this objection, Defendant reserves the right to
so contend should such basis be revealed in discovery.
INTERROGATORY NO. 9: State whether you contend that 'the plaintiff did not work with and was not exposed to any asbestos products mined, manufactured, sold and/or distributed by you. If so, state all facts and identify all documents which form the basis of such a contention.
ANSWER TO INTERROGATORY NO. 9: Defendant contends that no
injurious exposure may have resulted from exposure to this
Defendant's installation of products.
INTERROGATORY NO. 10: State whether you contend that the
asbestos products which the plaintiff used and/or was exposed
were not under your exclusive control.- If so, state all facts
and identify all document which form the basis of such a ;
contention.
j
ANSWER TO INTERROGATORY NO. 10: Defendant has no idea of the |
myriad of products to which the Plaintiff alleges exposure. !
. i
Therefore, Defendant can,not properly respond.
j
INTERROGATORY NO. 11: State whether you contend that there j
were changes made to your asbestos products after they left j your control. If so, state all facts and identify all j
documents which form the basis of such a contention.
;
i
ANSWER TO i n t e r r o g a t o r y NO. 11: ThisDefendant installed
j
products according to ship's specifications.
INTERROGATORY NO. 12: State whether you contend that the
plaintiff's claim is barred by the applicable statute of j
limitations. If so, state all facts and identify all documents |
which form the basis of such contention.
j
l
ANSWER TO INTERROGATORY NO. 12: Defendant reserves the right j
!
to so c o n t e n d if facts supporting such develop or are j
LAW O FFICES MOORE. L ie o w ir z
& THOMAS
A PROFESSIONAL ASSOCIATION
FIFTH FLOOR 300 N. CHARLES STREET BALTIM ORE, MARYLANO
21 201*4305
established. I N T E R R O G A T O R Y NO. 13; S t a t e w h e t h e r y o u c o n t e n d t h a t t h e plaintiff's claim is barred by the doctrine of assumption of
45
the risk. If so, state all fac t s a n d id e n t i f y all documents which form the basis of such a contention.
ANSWER TO INTERROGATORY NO. 13; Defendant reserves the right
to so c o ntend if facts s u p p o r t i n g such develop or are j
established.
!
.
INTERROGATORY NO- 14; State whether you contend that the
plaintiff's claims barred by his alleged contributory
negligence. If so, state all facts and identify all documents
which form the basis of such a contention.
:
ANSWER TO INTERROGATORY NO. 14: Defendant reserves the right |
to so contend if facts s u p p o r t i n g such develop or are I i
established.
I
!
t n t e r r o g a t o r y n o . 15: State whether you contend that the ;
plaintiff's claim is barred by his alleged misuse of the ,
asbestos products with which he worked. If so, state all facts ]
and identify all documents which form the basis of such a ;
contention.
j
a n s w e r TO INTERROGATORY NO. 15: Defendant reserves the right
to so c o ntend if facts s u p p o r t i n g such develop or are
established.
INTERROGATORY NO. 16: State whether you contend that the j
plaintiff's injuries were caused by any intervening acts or ,
superseding negligence. If so, state all facts and identify ,
all documents which form the basis of such a contention.
j
ANSWER TO i n t e r r o g a t o r y NO. 16: Defendant reserves the right
to so contend if facts s u p p o r t i n g such develop or are
established.
!
LAW OFFICES
MOORE. UBOWITZ a THOMAS
A PROFESSIONAL ASSOCIATION
FIFTH FLOOR
3 0 0 N. CHARLES STREET
46
BALTIMORE. MARYLAND
2I20-A 303
I HEREBY CERTIFY, that the matters and facts contained within the Amended Answers to Interrogatories are true and correct to the best of my knowledge, information, and belief Hopeman Brothers, Inc. Bv: Q r r & t s j
Jcfiin E. Baker, Vice President and Secretary
LAW OFFICES
MOORE. LiBOWITZ & THOMAS
A PROFESSIONAL ASSOCIATION FIFTH FLOOR
30 0 N. CHARLES STREET BALTIMORE. MARYLAND
21201-4309
rF.RTTFTCATF. OF SERVICE
//< I HEREBY c e r t i f y , that on this /t? day of 1989, a copy of the foregoing was mailed, postage pre paid to:
LAW OFFICES
MOORE, LIBOWITZ ft THOMAS
i PROFESSIONAL ASSOCIATION
FIFTH FLOOR 300 N. CHARLES STREET B A L T IM O R E . MARYLAND
21201*4309
'Harry Goldman, Jr., Esquire
David M. Layton
GOLDMAN & SKEEN, P.A.
1123 Munsey Building
7 North Calvert Street
Baltimore, Maryland 21202
Attorneys for Plaintiffs
v
Carl E. Tuerk, Jr., Esquire
COOPER, BECKMAN & TUERK
Suite 700 Provident Financial Center
Calvert & Lexington Streets '
Baltimore, Maryland 21201
. . __
Co-Counsel and Attorneys for Plaintiffs
Peter G. Angelos, Esquire LAW OFFICES OF PETER G. ANGELOS
5905 Harford Road . Baltimore, Maryland_ 21214 Attorney for Plaintiffs
"Rudolph L. Rose, Esquire William J. Jackson, Esquire SEMMES, BOWEN & SEMMES 250 West Pratt Street Baltimore, Maryland 21201 ^ Attorneys for Allied Corporation
"John Nagle, Esquire POWER & MOSNER 21 Susquehanna Avenue Towson, Maryland 21204 A t t o r n e y for B a b c o c k & W i l c o x C o ., & MCIC,
Inc.
-H. Emslie Parks, Esquire
PARKS, HANSEN & DITCH
_ _
1012 Mercantile - Towson Building
409 Washington Avenue
Towson, Maryland 21204
_
Attorney for Celotex Corporation
"George P . Adams, Esquire
LAW OFFICES
MOORE. LBOWITZ ft THOMAS
. P R O FE S S IO N A L ASSO CIATIO N
FIFTH FLOOR 3 0 0 N. CHARLES STREET BALTIM ORE. MARYLAND
2IZ01-A 303
343 North Charles Street Baltimore, Maryland 21201 Attorney for Combustion Corporation
Engineering
James R. Eyler, Esquire
MILES & STOCKBRIDGE
10 Light Street
_
Baltimore, Maryland
21202
Attorneys for Owens-Coming Fiberglass
Corporation and Corhart Refractories
"Jay Mornstein, Esquire
FRANK, BERNSTEIN, CONAWAY & GOLDMAN
300 East Lombard Street
Baltimore, Maryland 21202
^
Attorney for Crane Packing Company
Keith R. Truffer, Esquire ROYSTON, MUELLER, MCLEAN & REID Suite 600 102 West Pennsylvania Avenue Towson, Maryland 21204-4575 Attorney for Durabla Manufacturing Co.
'Michael B. Mann, Esquire MANN & WHELLEY 600 Mercantile - Towson Building 409 Washington Avenue Towson, Maryland 21204 Attorney for Eagle-Picher Industries,
Inc.
OWENS & ROBERTSON, P.A.
Suite 100
216 E. Lexington Street
Baltimore, Maryland 21202
Attorneys for Foster Wheeler Corporation and
Foster Wheeler Energy Corporation
S. Kennon Scott, Esquire HARTMAN & CRAIN 2660 Riva Road, Fourth Floor Annapolis, Maryland 21401 Attorney for Garlock
MOORE, UBOWITZ ft THOMAS
A PROFESSIONAL, ASSOCIATION FIFTH FLOOR
30 0 N. CHARLES STREET
BALTIM ORE, MARYLANO
2 1 Z O t-4 3 0 S
Jeremy North, Esquire LAW OFFICES OF DELVERNE A. DRESSEL 906 Munsey Building Calvert & Fayette Streets Baltimore, Maryland 21202 Attorney for General Refractories Company
Robert P. Schlenger, Esquire
LORD & WHIP
800 One Center Plaza
120 West Fayette Street
Baltimore, Maryland 21201
Attorney for Harbison - Walker Refractories
Robert D. Klein, Esquire
DIGGES, WHARTON & LEVIN
P.O. Box 551
'
225 Duke of Gloucester Street
Annapolis, Maryland 21401-0551
Attorney for International Minerals
Corporation and Kaiser Aluminum
Corporation
-
& Chemical & Chemical
' Louis G. Close, Esquire WHITEFORD, TAYLOR & PRESTON 7 St. Paul Street Suite 1400 Baltimore, Maryland 21202 Attorneys for Center for Claims
Resolution
James R. Eyler, Esquire MILES & STOCKBRIDGE 10 Light Street Baltimore, Maryland 21202 Attorney for Owens-Corning Corporation
Fiberglass
Lee H. Ogburn, Esquire KRAMON & GRAHAM, P.A. Sun Life Building Charles Center Baltimore, Maryland 21201 Attorney for 1
` Company
HOMAS
300 North Charles Street Baltimore, Maryland 21201-4305 (301) 752-2468