Document 48jL0Za3yN0N4127KkZzVzLx

'* STATE OF MICHIGAN IN THE CIRCUIT COURT FOR THE COUNTY OF WAYNE MIKE NORMAN, Plaintiff, vs. A-C PRODUCT LIABILITY TRUST, et al.. Defendants. ORIGINAL Case No. 94-421061 NP DEPOSITION OF JOHN L. MYERS f COORT REPORTERS Dates Time- Friday, December 15, 1995; 11:30 a.in. PlaceReporter: 515 S. Flower St., Suite 1100 Los Angeles, California Jennifer A. Hines, CSR Certificate Number 6029/RPR South Bay Court Reporters CERTIFIED SHORTHAND REPORTERS 3528 TORRANCE BlVD.. SUITE 215 mDDAMrc ai icopwia on^rvP U CAR EF00013352 1 Deposition of JOHN L. MYERS, before Jennifer 2 A. Hines, Certified, Shorthand Reporter for the 3 State of California, with principal office in the 4 County of Los Angeles, commencing at 11:30 a.m., 5 Friday, December 15, 1995, 515 S. Flower Street, 6 Suite 1100, Los Angeles California. '7 8 *** 9 APPEARANCES OF COUNSEL: 10 For the Plaintiffs MIKE NORMAN: 11 THE JACQUES ADMIRALTY LAW FIRM BY: DONALD A. KRISPIN, Esq. 12 1370 Penobscot Building Detroit, MI 48226-4192 13 (810) 961-1080 14 For the Defendant UNION CARBIDE: HARVEY, KRUSE, WESTEN & MILAN 15 BY: RONALD WESTEN, Esq. 1050 Wilshire Drive 16 Troy, MI 48226 (810) 961-1080 17 Hoir cire Witness J0I7N L. MYERS: 18 KELLEY DRYE & WARREN BY: DANA A. SUNTAG, Esq. 19 515 South Flower Street Suite 1100 20 Los Angeles, California 90071 (213) 689-1300 21 22 Also Present: Cynthia S. Papsdorf 23 24 25 SOUTH BAY COURT REPORTERS 2 .JC UCAREF00013353 1 1 EXAMINATION 2 By Mr. Krispin INDEX PAGE 4 3 4 5 PLAINTIFF'S EXHIBITS 6 Re-Notice to Produce Witness, 3 pages 31 .7 8 9 10 11 INFORMATION REQUESTED 12 (None) 13 14 15 QUESTIONS WITNESS INSTRUCTED NOT TO ANSWER 16 (None.) 17 18 19 20 21 22 23 24 25 SOUTH BAY COURT REPORTERS UCAREF00013354 1 JOHN L. MYERS, 2 called as a witness by and on behalf of the 3 Plaintiff, and having been first duly sworn by the 4 Court Reporter, was examined and testified as 5 follows: 6 7 EXAMINATION 8 MR. KRISPIN: Let the record reflect this is 9 the deposition of Mr. Myers taken pursuant to 10 notice. Counsel have agreed to use for those 11 purposes provided under the Michigan court rules. 12 Q Mr. Myers, have you been furnished a 13 copy of the notice of taking of telephone deposition 14 with respect to the cases pending in Wayne County, 15 Michigan? 16 A No, I have not. 17 Q Have you ever reviewed it with 18 counsel? .................... ' ' ' ' .................. 19 MR. SUNTAG: To the extent you're asking 20 what he reviewed with counsel, that's privileged 21 information, and I would instruct him not to 22 answer. If you're asking whether he saw the notice 23 and reviewed the notice, you can ask that question. 24 MR. KRISPIN: Thank you. That's what I 25 asked. SOUTH BAY COURT REPORTERS 4 UCAREF00013355 1 THE WITNESS: No, I have not. 2 BY MR. KRISPIN: 3 Q What is it that you're -- what are you 4 here to testify to? 5 A To whatever you ask, I will try to 6 answer. 7 Q Are you aware that there was a notice 8 promulgated which asked Union Carbide to produce a 9 witness or witnesses to speak to certain areas 10 subject matter pertaining to litigation pending in 11 Wayne County, Michigan? 12 A No. 13 Q I understand and I've had the 14 opportunity at the suggestion of counsel, 15 Mr. Westen, to review a deposition that you 16 furnished in a case in the county of Alger, state of 17 Michigan, so I'm g^lng to., cut Jthrgugh._a lot of _ 18 material that I might otherwise go through. 19 Sir, do I understand that you have no 20 knowledge as to what asbestos products, if any, were 21 manufactured by Union Carbide's course from 1940 to 22 the present? 23 A I'm familiar with the Calidria 24 asbestos products which was a raw asbestos fiber 2 5 supplied to manufacturers who produce SOUTH BAY COURT REPORTERS 5 UCAREF00013356 1 asbestos-containing products. 2 Q okay. And, again, you're talking raw 3 asbestos fiber as opposed to a finished or 4 manufactured product? 5 A That's correct. 6 Q And the Calidria was a chrysotile form ' 7 of the asbestos? ,, 8 A It was short fjo-r'" chrysotile asbestos. 9 Q When did Union Carbide supply that 10 chrysotile asbestos fiber? What period of time to 11 what period of time? 12 A From 1963 through 1985. 13 Q In the course of supplying that 14 product, that fiber to others, did Union Carbide 15 ever provide any warnings? 16 A Yes. 17 18 4. . I Q . rn ++ A When did they first do that? .. Warnings, you mean, for example, on' 19 the bags? 20 Q Yes, sir. That's what I meant. 21 A All right. In 1968 we provided a 22 caution warning on bags of product and I think in 23 1969 or 1970 we began providing information to 24 customers about the hazards of asbestos. 25 Q Who were the customers of Union SOUTH BAY COURT REPORTERS 6 UCAREF00013357 1 Carbide's Calidria? 2 MR. SONTAG: Objection. Over broad. Do you 3 have a time period in mind, Tom? 4 MR. KRISPIN: Yes. From '63 to '85. 5 MR. SUNTAG: Same objection but Mr. Myers . 6 can give you what he recalls. 7 THE WITNESS: Do you want me to try to 8 remember all the customers, is that correct? 9 BY MR. KRISPIN: 10 Q I want to understand, first, sir, if 11 there was a particular group or market for this 12 product limited, let's say, to OEM's or gasket and 13 packing companies or, you know, what was the 14 parameters of the marketing of Calidria from '63 to 15 ' 85 generally first and then I'll ask you specific 16 customers next? 17 ' MR. `SONTAG: ' * Let- csss-rt t-he .nhiecfi on. ______ 18 that it's vague, ambiguous and over broad, but 19 Mr. Myers can give his understanding of what you're 20 asking. 21 THE WITNESS: The -- our main customers, as I 22 recall, were floor tile manufacturers, ceiling tile, S , 23 aco\^tis'i*ical ceiling tile manufacturers. 24 In the early days we supplied raw 25 asbestos fiber to some paper companies. We've " SOUTH BAY COURT REPORTERS 7 UCAREF00013358 1 Carbide's Calidria? 2 MR. SUNTAG: Objection. Over broad. Do you 3 have a time period in mind, Tom? 4 MR. KRISPIN: Yes. From '63 to '85. 5 MR. SUNTAG: Same objection but Mr. Myers . 6 can give you what he recalls. 7 THE WITNESS: Do you want me to try to 8 remember all the customers, is that correct? 9 BY MR. KRISPIN: 10 Q I want to understand, first, sir, if 11 there was a particular group or market for this 12 product limited, let's say, to OEM's or gasket and 13 packing companies or, you know, what was the 14 parameters of the marketing of Calidria from '63 to 15 ' 85 generally first and then I'll ask you specific 16 customers next? 17 " MR .'SuNtAG :' ' L-ex- Sue assort- thv-obj ec.tion..w, ... 18 that it's vague, ambiguous and over broad, but 19 Mr. Myers can give his understanding of what you're 20 asking. 21 THE WITNESS: The -- our main customers, as I 22 recall, were floor tile manufacturers, ceiling tile, 6 23 acosflt is'fcical ceiling tile manufacturers. 24 In the early days we supplied raw 25 asbestos fiber to some paper companies. We've SOUTH BAY COURT REPORTERS ---- 7 UCAREF00013359 1 supplied products to adhesive and sealant 2 manufacturers. We have never supplied to the 3 friction products or insulation or gaskets, that 4 kind of products which use a longer -- normally use 5 a longer fiber asbestos. 6 BY MR. KRISPIN: ' 7 Q All right. With respect to your 8 testimony regarding insulation-type manufacturers, 9 it's your testimony that no -- at no time Union 10 Carbide ever sold to insulation manufacturers? 11 MR. SUNTAG: Objection. Are we talking 12 about Calidria and we're talking about -- 13 MR. KRISPIN: Yes. 14 MR. SUNTAG: The extent of Mr. Myers' 15 knowledge with respect to Calidria only? 16 MR. KRISPIN: That's right. 17 THE WITNESS: Yes. To my knowledge we have 1C r.svsr so 1U our product"to manufacturers of' *' ............. ' 19 insulation products. 20 BY MR. KRISPIN: 21 Q Are there any records which reflect 22 23 24 25 \" the customers or sales of Calidria retained by Union Carbide in any of its documents archived? MR. SUNTAG: Let me assert the objection that Mr. Myers is no longer employed by Union SOUTH BAY COURT REPORTERS 8 UCAREF00013360 1 Carbide but he can give his understanding of what 2 the situation is. 3 THE WITNESS: Yes. There are sales records, 4 invoices of sales of Calidria to customers or 5 distributors which would date from 1963 to 1985. 6 BY MR. MC DONALD: ' 7 Q Do you know whether or not any of the 8 sales records reflect sales to the marine industry 9 or -- well, let's just stay with that, to the marine 10 industry. 11 MR. SUNTAG: Objection. Lacks foundation. 12 Go ahead. 13 THE WITNESS: I don't remember that we ever 14 sold ^-n^tpirijrg / any rr raw asbestos fibers to the 15 marine industry. 16 BY MR. KRISPIN: 17 Q Do you know whether or not Union 18 - Carbide-' ever--sold"-any 'rav-'asb'es'Lua' f ibers- -to ' - ' 19 manufacturers whose products were used in the marine 20 industry or aboard ship? 21 MR. SUNTAG: Same objection. Go ahead. 22 THE WITNESS: I wouldn't be familiar with 23 that not knowing what manufacturers produced with 24 our product. 25 BY MR. KRISPIN: SOUTH BAY COURT REPORTERS 9 UCAREF00013361 1 Q All right, sir. I am going to furnish 2 you a list of some 44 companies which I believe 3 manufactured products that were used aboard ship, 4 and I'm going to ask you at a later vdate to inspect 5 those sales records or have your counsel inspect 6 those sales records to determine whether or not * 7 Calidria was sold to any of those companies. 8 MR. WESTEN: You can ask that, but not at 9 any time are we making any consent, and I think the 10 court orders will be directly to the contrary and 11 have traditionally that we have made available, I 12 believe, in this particular case for your 13 inspection, so I'm going to leave that for further 14 order of the Court. 15 MR. KRISPIN: I think the court addressed 16 those issues today, Mr. Westen, and they indicated 17 they should be produced by December 22. 18 .......................MR.- -PESTEN: - That's -f ine*..-........................................... 19 MR. SUNTAG: I have not seen the court 20 order, but I join in the comments that were made. 21 MR. KRISPIN: To my knowledge, I don't 22 know. Certainly traditionally in Wayne County no 23 court in Wayne County has ever ordered every single i 24 sales record of a company to be produced. 25 MR. KRISPIN: I didn't say that, did I SOUTH BAY COURT REPORTERS 10 UCAREF00013362 1 Mr. Westen. I said marine manufacturers that are 2 subject to this litigation. 3 MR. WESTEN: That's the first time that 4 specific request has been made and that was just 5 made now. 6 MR. WESTEN: Yes, and I understand. I 7 understand. 8 MR. KRISPIN: I understand, I understand, 9 and that's the first time I've taken this 10 deposition, too. 11 Q Mr. Myers, are you familiar with 12 whether or not Union Carbide Corporation ever 13 manufactured an adhesive cement which contained 14 asbestos? 15 A Not to my knowledge. 16 Q 17 other? 18 ... - . You just don't know one way or the i .v . I don't recall that they ever made any 19 adhesive. 20 Q 21 A 22 that. Are you familiar with - But I wouldn't be the one to ask about 23 Q All right. Who would be? 24 A I don't know. 25 Q Are you familiar with the Benjamin SOUTH BAY COURT REPORTERS 11 UCAREF00013363 1 Foster division of Union Carbide Corporation? 2 A No. 3 Q Are you familiar withwhether or not 4 Union Carbide ever made any insulating cement from 5 the period 1944 to 1962 that was for sale for marine 6 use? 7 MR. SUNTAG: Objection. Lacks foundation. 8 THE WITNESS: Again, not to my knowledge. 9 BY MR. KRISPIN: 10 Q You just don't know one way or the 11 other? 12 A I don't know. 13 Q Do you know whether or notUnion 14 Carbide ever manufactured any deck coatings which 15 contained asbestos intended for marine use in the 16 early 60's? 17 A Not to my knowledge. 18 ............. "q ' ' ' do" you know whether or not Union" 19 Carbide Corporation ever manufactured a product 20 under the trade name Foster Insulfas? 21 MR. SUNTAG: Objection. Lacks foundation. 22 THE WITNESS: I'm not familiar with that. \ 23 BY MR. KRISPIN: 24 Q You just don't know one way or the 25 other? " SOUTH BAY COURT REPORTERS 12 UCAREF00013364 1 A That's correct- 2 Q Do you know whether or not that ' 3 product contained asbestos? I take it you don't? 4 A No, I don't. 5 Q Are you familiar with - 6 A Just a minute. I know that it would ' 7 have not contained Calidria asbestos if it was 8 discontinued in 1962. 9 Q Okay. Well, you never heard of Foster 10 Insulfas, have you, sir? 11 A Not that I recall. 12 Q Are you familiar with whether or not 13 Union Carbide Corporation ever manufactured a 14 product or any of its subsidiary or wholly owned IS subsidiaries called Foster Insulfas? 16 MR. SUNTAG: Objection. Lacks foundation. 17 THE WITNESS: Not that I recall. 18 ' "BY WR."'KR1SPIN`: " ..............--............... ' 19 Q Do you know whether or not Union 20 Carbide Corporation ever acquired a company which 21 had in prior years been manufactured under the trade 22 name Foster Insulfas? 23 MR. SUNTAG: Same objection. 24 THE WITNESS: No. I have no information 25 about Foster. SOUTH BAY COURT REPORTERS 13 UCAREF00013365 1 BY MR. MC DONALD: 2 Q Do you know -- if I were to ask you 3 about specific product types which contain the trade 4 name Foster, would your answer be the save? 5 A Yes, it would. 6 Q Would it matter if it were a cement or 7 a paint on insulation or what have you? 8 A Yes. 1 know nothing about Foster or 9 Foster products. 10 Q Do you know whether or not any of 11 Union Carbide's asbestos containing products were 12 ever proved for use by aboard ship by the United 13 States Coast Guard? 14 A No, I don't. - 15 Q Frankly, sir, you don't have any 16 knowledge as to any asbestos-containing products 17 because as your attorney has repeatedly objected to 18 the lack of foundation because you don't know 19 outside of the Calidria that you've already 20 discussed? 21 MR. SUNTAG: Objection. That's 22 argumentative and Mr. Myers is here to testify about 23 the Calidria aspect of Union Carbide and he is well 2 4 versed in that aspect and very familiar with that 25 aspect of Carbide. SOUTH BAY COURT REPORTERS 14 i UCAREF00013366 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18. 19 20 21 22 23 24 25 MR. KRISPIN: And I'm not too very interested in Calidria. I'm interested in some of these other products which I have identified and asked questions about because they in my view are the responsibility of Union Carbide so that's why I'm asking these questions. I'm not wasting your time. MR. WESTEN: I think the record should also reflect the specific names of the product you've identified with Poster and so forth have not been identified in your brochure and therefore from our position are beyond the scope of the deposition. BY MR. KRISPIN: Q Are you aware whether or not -- and I may have already asked you this -- whether or not Union Carbide has ever made any insulating cements which contain asbestos? Intended for marine use? A Not to ay-knowledge; - ........................ Q Do you know whether or not Union Carbide Corporation has ever manufactured any products containing asbestos in a manage or trade journal called the marine catalog and buyers directory? A Not to my knowledge. Q You just don't know one way or the SOUTH BAY COURT REPORTERS 15 UCAREF00013367 1 other? 2 A i don't know, yes. 3 Q Did you bring any documents with you 4 to your deposition today? 5 A No. 6 Q Do you know whether or not there's an ' 7 entity or division of Onion Carbide called Union 8 Carbide chemical? 9 A I don't recall if there was ever a C 10 separate entity called Union Carbide chemical, no. 11 Q Do you know whether or not Union 12 Carbide ever acquired a company called the Viking 13 Corporation and operated under a division of the 14 Viking Company for a period of years in the mid 15 50' s? 16 17 ' 16 19 A No, I don't. Q Do you know whether or not Union 'Carbide ever acquired' property "and' operated a` -~ division under the Bakelite division? : 20 A 21 y es. Bakelite, I'm familiar with that name, i 22 Q Do you know whether or not Bakelite 23 ever manufactured any products that were intended 24 for marine application which contained asbestos? 25 MR. WESTEN: Did you say B-A-K-E-L-I-T-E? SOUTH BAY COURT REPORTERS 16 UCAREF00013368 1 THE WITNESS: I know that they manufactured 2 phenolic molding compounds, but I don't know what 3 their application was after they produced them. 4 B MR. MC DONALD: 5 Q Do you know whether or not the I 6 Bakelite corporation or division of Union Carbide 7 ever produced any asbestos-containing insulation 8 material? 9 A Not to my knowledge. 10 Q Don't know one way or the other? 11 A That's correct. 12 Q Do you know whether or not Union 13 Carbide Corporation ever acquired a corporation 14 called Amcam products which emerged in 1977? 15 A I don't remember that, no. 16 Q You don't have any knowledge of that, 17 sir? 18 A No, I don't. 19 Q You would not know of any products 20 that were manufactured by Amcam prior to the merger 21 of that corporation with Union Carbide, I take it? 22 A That's correct. 23 Q Who would know that, sir? 24 A I don't know. 25 Q When did you leave the company? SOUTH BAY COURT REPORTERS ~~ 17 UCAREF00013369 1 A 1993. Well, Union Carbide X sold the 2 asbestos -- the Calidria asbestos operation in 1985. 3 Q When did you retire from the company? 4 MR. SUNTAG: The company being Union Carbide 5 Corporation? .6 MR. WESTEN: He didn't retire from Union 7 Carbide Corporation is my understanding. 8 THE WITNESS: There was a continuation of 9 benefits with the company who purchased the asbestos 10 operation, and when I retired in December, 1993 from 11 that company, my retirement from Union Carbide was 12 also effective. 13 BY MR. KRISPIN: 14 Q Do you know whether or not the 15 Calidria has ever been sold to shipyards? 16 A Not that I can recall. 17 Q Have you undertaken any certain 18 records from the archives of Union Carbide to 19 ascertain that fact? 20 A I'm sorry, would you repeat that. 21 Q Have you ever undertaken the records 22 of Union Carbide Corporation to ascertain the fact 23 of whether or not Calidria was sold to shipyards? 24 A No, I have not. 2 5 Q Sir, I'm now going to make a request SOUTH BAY COURT REPORTERS " 18 UCAREF00013370 1 of your counsel to have you with a list of the 2 shipyards that are effected in this litigation to 3 search of the existence of any sales to those 4 shipyards. 5 MR. WESTEN: For the purpose of the record, 6 since you have taken the position all of our prior ' 7 requests of counsel are not appropriate requests on 8 depositions, we will take the same position and you 9 can file your appropriate procedure according to our 10 appropriate court rules. 11 MR. SUNTAG: And I would join in those 12 comments. 13 MR. KRISPIN: You know, counsel, you don't 14 have to join your own counsel's in objection. 15 MR. WESTEN: I believe one may be 16 representing the witness and one the corporation, 17 Mr. Krispin. We have two separate counsel. IS Mk. Kni'Sfi'rf: 1 ''"All right. ' 'i. wii~i `stipulate 19 that one objection is good for both. How is that 20 because I do understand we're under severe time 21 lines given my schedule and the witness's schedule 22 which we're attempting to meet here. 23 I would indicate simply for the record 24 this is the type of request the court has ruled on 25 this morning from an opinion which we produced in an SOUTH BAY COURT REPORTERS 19 UCAREF00013371 1 order and which, requires production by December 22. 2 Q Sir, have you ever had any knowledge 3 as to whether or not current Calidria was ever sold 4 to any ship owners directly? 5 MR. SUNTAG: Do you mean Calidria? 6 MR. KRISPIN: Yes. 7 THE WITNESS: To ship owners? 8 BY MR. KRISPIN: 9 Q Yes. 10 A Not to my knowledge. 11 Q Ship companies? 12 A Not to my knowledge. 13 Q Did you undertake an investigation of 14 sales invoices and documents of Union Carbide to 15 ascertain that fact? 16 A No, I did not. 17 Q If you in fact had sold to ship 18 owners', that would be retained in the files of Union 19 Carbide? 20 MR. SUNTAG: Objection. Calls for 21 speculation. 22 MR. WESTEN: Also no foundation that he 23 knows specifically what records they have at the 24 present time. 25 BY MR. KRISPIN: '~ SOUTH BAY COURT REPORTERS 20 UCAREF00013372 1 Q Go ahead, sir. 2 A Would yourepeat it, please. 3 Q If Calidriahad been sold to ship 4 owners directly, steamship owners for use aboard 5 their vessels, is it your testimony that the records 6 exist between the periods '63 and '85 such that you 7 could ascertain whether any of those sales were made 8 to those ship owners? 9 A Yes. 10 MR. KRISPIN: I would then renew my request 11 that you undertake an investigation with your 12 counsel to determine the sales of any ship owners 13 and I will provide your counsel a list of the ship 14 owners effected by the case here in the top cases 15 and I believe they are approximately for ship owners 16 or 35 ship owners. 17 MR. WESTEN: For the purpose of the record, 18 I was at the hearing today and under no 19 circumstances was there ever any mention that there 20 was a duty and responsibility on the defense to 21 search the records to find out what you claim you 22 want. The only thing that was indicated is that we 23 would under the court order be compelled to produce 24 records. It didn't say we had to search the records 2 5 and who is going to pay the records so if you are SOUTH BAY COURT REPORTERS UCAREF00013373 1 volunteering to pay for all these records and the 2 search, we will gladly undertake that request. At 3 this point in time, we haven't resolved that. 4 MR. KRISPIN: I'm preserving my request and 5 I'm asking you to produce those documents of course 6 with the court's orders, in accordance with the 7 courts orders. 8 Q Sir, have you ever -- do you have any 9 knowledge as to whether or not any specific measures 10 were taken by Union Carbide with respect to any of 11 the asbestos-containing products which it sold to 12 merchant seamen to reduce the record to? 13 MR. SUNTAG: Objection. Calls for 14 speculation. Lacks foundation. There's no evidence 15 that Carbide ever sold anything to merchant seamen. 16 MR. KRISPIN: There's got to be plenty of 17 it, sir, in these causes so I'll take an answer. 18 MR. SUNTAG: Can you repeat the question, 19 please. 20 BY MR. KRISPIN: 21 Q Yes. Mr. Meyer, do you know whether 22 or not any specific measures were taken by the 23 defendant, Union Carbide, ever to reduce the risk of 24 exposure to merchant seamen aboard merchant vessels 25 due to the risk of asbestos in 1940 to the present SOUTH BAY COURT REPORTERS 22 UCAREF00013374 1 time? 2 MR. SUNTAG: Additionally, I object on the 3 ground that Mr. Myers was not with the company in 4 the early part of -- in the time period covered by 5 your question. . 6 BY MR. KRISPIN: 7 Q Go ahead, sir. I'll take your 8 answer. 9 A I can answer only for Calidria 10 asbestos. 11 Q All right. 12 A And as I've stated earlier, I'm quite 13 certain that there were never any shipments of raw 14 asbestos fibers made to any ships or ship owners or 15 shipyards. The warnings made would have been the 16 ones that we -- if any were made -- any shipments 17 were made, would have been those we made to all of 18 our customers. 19 BY MR. KRISPIN: 20 Q Those warnings commenced in 21 approximately 1968 you say? 22 A I think 1969 or '70. j 23 Q When did Union CarbideCorporation 24 first hire industrial hygienists, if you know? 25 A No, I don't know. SOUTH BAY COURT REPORTERS 23 UCAREF00013375 1 Q Do you know if Union Carbide 2 Corporation had a safety department prior to your 3 leaving the company? 4 MR. SUNTAG: When you say a safety I 5 department, do you mean a department called safety # 6 department or -- 7 BY MR. KRISPIN: 8 Q Or someone who executed the duties or 9 responsibilities to assure the safety of either 10 employees or customers of Union Carbide's products. 11 A I was involved, again, with the 12 Calidria asbestos part of the operation which was tfU'a;Milliis >-n 13 part of the nine--and- metals division of Union 14 Carbide, and there was a safety group, safety 15 manager within that group, and locally we did have a 16 safety supervisor. ' 17 Q All right. Do you know whether or not 18 the safety supervisor or anyone under his direction 19 at any time has ever performed any exposure 20 assessment studies with the attempts to quantify the 21 risk of exposure to asbestos from -- for any 22 employees of Union Carbide Corporation? 23 A It was practice to perform dust 24 monitoring at our mine and mill in King city from 25 1963 to 1985. SOUTH BAY COURT REPORTERS 24 UCAREF00013376 1 Q And this was done after at the mine 2 itself? 3 A The mine and the mill. 4 Q All right. And these monitoring - 5 these dust monitoring studies were done in an effort 6 to ascertain the -- and quantify the exposure to 7 asbestos that the minors that were employees of 8 Union Carbide might sustain? 9 A No. Nothing to do with health d 10 damage. The ust counts were done to determine what 11 the levels of asbestos fiber were in the work 12 areas. 13 Q And that was done for a purpose. What 14 was the purpose of monitoring the just levels in the 15 mining operation of asbestos fibers? 16 A Determine what they were and to make 17 sure that they were in compliance with regulatory 18 standards and to determine whether or not ^uJc) 19 respirators w-o-u-l-d be m. 20 Q Sure. And what regulatory standards 21 were under consideration in 1963, if you know? 22 MR. SUNTAG: Under consideration by whom? 23 MR. KRISPIN: By Union carbide in attempts 24 to meet those standards. I mean I'm just following 25 up on what he had to say in a previous response. " SOUTH BAY COURT REPORTERS ' 25 UCAREF00013377 1 MR. SUNTAG: objection to the extent it 2 lacks foundation. I'm not sure whether Mr. Myers 3 was involved in all the considerations of safety 4 testing and so forth, but he can give his 5 understanding. 6 THE WITNESS: You mentioned -- there were no 7 regulatory requirements in 1963. And I don't recall 8 what levels were considered as less harmful than 9 others. 10 BY MR. KRISPIN: 11 Q Clearly, though, in 1963 Union Carbide 12 by virtue of its dust sampling surveys of its minors 13 contemplated that there was some threshold level of 14 asbestos exposure, whatever it was, after which 15 there was a threat or a hazard posed to the workers 16 if they did not take certain precautions; correct? 17 A No, I wouldn't - 18 MR. SUNTAG: I was going to object that it 19 misstates the witness's testimony. 20 Go ahead. 21 THE WITNESS: And I wouldn't agree with that 22 statement at all. The monitoring was done as a dust 23 monitoring and this -- Union Carbide was involved 24 with other dust operations^and this was just part of 25 the general responsibility of any plant within the SOUTH BAY COURT REPORTERS 26 UCAREF00013378 1 Union Carbide operations. 2 BY MR. KRISPIN: 3 Q All right, sir. I take it you are not 4 familiar with any asbestos-containing products 5 manufactured by Union Carbide Corporation's Bakelite 6 division? ' 7 A I think I responded earlier to that, tta: 8 that I have -- I'm familiar withftthat they 9 manufactured phenolic molding compounds. 10 Q Do you know whether or not they have 11 ever manufactured a product called general purpose 12 Bakelite? 13 A I'm not familiar with that. 14 Q Are you familiar whether or not Union 15 Carbide Corporation ever manufactured a product 16 called heat resistant Bakelite? 17 A I'm not familiar with that. 18 Q You just don't kno. one way or the 19 other? 20 A I'm not familiar with it is my answer. 21 Q . I take it you're not also familiar 22 with a product manufactured by Union Carbide called 23 high impact heat resistant Bakelite? , 24 A No, I'm not. 25 MR. SUNTAG: For the record, it's about SOUTH BAY COURT REPORTERS 27 UCAREF00013379 1 11:40, pacific time. We have about five minutes 2 before Mr. Myers has to leave to catch his plane. 3 MR. KRISPIN: I understand. 4 Q Sir, do you know whether or not there 5 was any claims made by any workers of the King City 6 mine which mined Calidria in 1963 to 1985 as 7 alleging diseases associated with the -- and from 8 exposure to asbestos mining? 9 MR. WESTEN: Are you talking about workmens 10 compensation claims? 11 MR. KRISPIN: Yes. 12 THE WITNESS: Nothing. We've never had any 13 such claims and we've never had any employee 14 associated with any asbestos~related disease. 15 BY MR. KRISPIN: 16 Q Who, if you know, sir, would have any 17 knowledge with respect to the Bakelite division of 18 Union Carbide? 19 A I don't know that. 20 Q Who would know that? 21 A I don't know who would know it. 22 MR. SUNTA6: You're asking who would know, 23 who would know about Bakelite? * 24 MR. KRISPIN: Yes. 25 THE WITNESS: I don't know. SOUTH BAY COURT REPORTERS 28 UCAREF00013380 1 B MR. MC DONALD: 2 Q Do you know whether or not Union 3 Carbide maintains documents which evidence its line 4 of Bakelite products which contained asbestos? 5 A No, I don't. 6 Q Do you know whether or not Union ' 7 Carbide Corporation has documents which evidence any 8 Foster trade name asbestos containing products? 9 A No, I don't. 10 Q You have not looked for those 11 documents, sir? 12 MR. WESTEN: There has been no request that 13 anybody produce any such documents. 14 BY MR. KRISPIN: 15 Q All right, sir. My request for this 16 deposition which I will be asked be marked as 17 exhibit 1 is as to the complete description and ^ rife W identity as to the asbestos and asbestos-containing 19 products including shipyards, ship owners, ship 20 chandlers or any source whatsoever intended for 21 maritime use from 1940 to the present. The Foster 22 containing product, the Bakelite trade name of 23 products, and there's going to be plenty of evidence 1 24 in these cases that they were manufactured by Union 25 Carbide Corporation and sold for marine use. SOUTH BAY COURT REPORTERS ' 29 UCAREF00013381 1 Now, this witness apparently doesn't 2 have that knowledge, and I'm simply asking him if he 3 is aware of any records which are retained in the 4 archives of Union Carbide Corporation which would 5 evidence such sales. 6 MR. SUNTAG: And I think he testified he 7 doesn't know about that. 8 In case it did, you asked that the 9 exhibit be marked. We don't have a copy of the 10 document to be marked as an exhibit here which is 11 where the Court Reporter is. 12 MR. KRISPIN: Yes, sir. I do appreciate 13 that. I heard that from the outset. I'm going to 14 mark it for you. It can be marked before you close 15 the record and I see it's 11:45. I'll honor my 16 commitment to allow the witness to go, but I'm going 17 to reserve my right to continue the deposition given .. - *................................ - --- X W the 45 minutes that I've been permitted to inquire. 19 MR. SUNTAG: Let me just respond to that. 20 Our position is the deposition is concluded. We 21 were here, ready willing and able to go at 8:00 this 22 morning pacific time which is the time set for this 23 deposition, and we were ready to go until we spoke 24 with you and you told us you couldn't go forward. 25 Our position is the deposition is concluded. SOUTH BAY COURT REPORTERS 30 UCAREF00013382 1 MR. KRISPIN: Just for the record, it is 2 true that you were originally scheduled at 8:00 3 pacific. It is also very true that both Ron Westen 4 and myself were before the judge until approximately 5 9:00 pacific and after which there was other 6 commitments and scheduling problems that prohibited 7 me from going forward until 2:00 eastern or 11:00 8 pacific, and it's my understanding that the witness 9 had a plane to catch to return to northern 10 California and I'm honoring that because I certainly 11 don't want to play with the gentleman's schedule on 12 a Friday afternoon, but that is not any reason to 13 take the position that he not be brought back for 14 further interrogation. 15 (Plaintiff's Exhibit 1 was marked 16 for identification by the court Reporter.) 17 MR. WESTEN: Also the record should indicate 18 to the best of my knowledge that the product 19 identification material that plaintiff identified 20 doesn't refer to the specific product names that 21 have now been named by counsel and if he were to 22 properly follow the Court's direction in the master 23 order and properly put those names in there, we 24 would have been able to perhaps give additional 25 witnesses to respond, but we weren't unable to since SOUTH BAY COURT REPORTERS ' 31 UCAREF00013383 1 he didn't properly identify those names. 2 MR. KRISPIN: We can go back tit for tat all 3 afternoon but Mr. Westen, you know, you more than 4 anyone would be in a better position to know what 5 products you manufactured that contain asbestos and 6 have adequate I've adequately identified those for ' 7 purposes of taking the deposition. 8 MR. WESTEN: We'll let the record determine 9 whether or not you adequately identified them. 10 MR. SUNTAG: The witness has to leave for a 11 plane. I suggest that we make some arrangements for 12 the signing of the deposition. 13 MR. KRISPIN: That's your prerogative, sir. 14 I still want a copy in advance of the signed copy 15 and give me your fax number so I can fax you the 16 copy of the notice. 17 MR. SUNTAG: Ron, do you have a proposed . _ . , . . . * lb stipulation? I want to make sure Mr. Myers has an 19 opportunity to review and sign the deposition. 20 MR. KRISPIN: After the reading and signing 21 of it, the court reporter will make arrangements I 22 think within 30 days of the completion of the 23 transcript. i 24 MR. SUNTAG: Should we have the original, 25 then, sent to our office for transmission to the SOUTH BAY COURT REPORTERS ~ 32 UCAREF00013384 1 witness? 2 MR. KRISPIN: Yes, if it can be completed in 3 that time. 4 Normally we have -- I don't know if 5 she's handled this before. I'll let plaintiff's 6 attorney identify what type of transcript he is ' 7 ordering. Do you know what you're ordering? 8 MR. CONNOR: I'm representing plaintiff. 9 This is Mike Connor and we would like the regular, 10 the mini and the ascii disk. 11 MR. WESTEN: We want mini and the disk. 12 (Discussion off the record.) 13 MR. SUNTAG: Ron, why don't we stipulate 14 that the original will be sent to our office. We'll 15 have Mr. Myers review it and we will provide changes 16 within 30 days of our receipt of the transcript. 17 MR. KRISPIN: I suggest you're going to 13 change it. Counsel', 'but I'm simply asking the Court 19 Reporter that I get a copy 20 (Whereupon, the deposition concluded 2 1 at the hour of 11:55 a.m.) 22 23 24 25 SOUTH BAY COURT REPORTERS 33 UCAREF00013385 1 I certify or declare under penalty of 2 perjury that the foregoing is true and correct. 3 Dated at ____(L'4xj { Cf\ 4 . day of 5 1996 . 6 '7 8 9 10 11 12 13 14 15 16 17 lH 19 20 21 22 23 24 25 SOUTH BAY COURT REPORTERS 34 UCAREF00013386 1 STATE OF CALIFORNIA ) ) ss 2 COUNTY OF LOS ANGELES ) 3 4 I, JENNIFER A. HINES, Certified Shorthand 5 Reporter in and for the State of California do 6 hereby certify: ' 7 That the foregoing transcript is a true and 8 correct transcription of my original stenographic S notes. 10 I further certify that I am neither attorney 11 or counsel for, nor related to or employed by any of 12 the parties to the action; and, furthermore, that I 13 am not a relative or employee of any attorney or 14 counsel employed by the parties hereto- or 15 financially interested in the action. 16 IN WITNESS WHEREOF, I have hereunto set my 17 hand this 24th day of January, 1996. 13 19 20 21 22 23 24 25 SOUTH BAY COURT REPORTERS 35 UCAREF00013387 T0/33bd SZZS T96 Qtr:XX 6. T D3Q STATE OF MICHIGAN IN THE CIRCUIT COURT FOR THE COUNTY OF WAYNE MIKE NORMAN, Plaintiff, v. A-C PRODUCT LIABILITY TRUST, et. al.. Defendants. CASE NO. 94-421061 NP HON. ROBERT J. COLOMBO, JR. APPLIES TO ALL LISTED CASES ATTACTED TO NOTICE TO PRODUCE WITNESSOES) AND TAKING OF DEPOSITIONS RE-NOTICE TO PRODUCE WITNESS(ES) AND TAKING OF TELEPHONE DEPOSITION By authority of the appropriate rule requiring you to produce witness(es), MCR 2.306(B) take notice that commencing at 11:00 a.xn. on December 15,1995 at Kelly, Dry &. Warner, 515 S. Flower St., Suite 1100, Los Angeles, CA, plaintiff shall cross-examine by telephone deposition those person or persons within the class or group of officers, agents or employees of defendant UNION CARBINE CORP. whom you must produce with background sufficient to speak to the knowledge of the Defendant of matters and issues raised by^allegations in the Complaint of this cause relative to: (a) individual health and safety due to the risk of harm created by asbestos and asbestos-containing products; (b) die complete description and identity of defendant's asbestos and asbestos-containing products provided to shipyards, shipowners, ship chandlers or any source whatsoever intended for maritime use from the period 1940 to the present; PlF't I IZ- i5-^5 1 UCAREF00013388 20'3Dbd SZZS T96 6fr:TT S6. ST 33Q (c) specific measures taken, if any, by defendant to reduce the risk of exposure to merchant seaman aboard merchant vessels to friable asbestos from 1940 to present; (d) the name of all Industrial, Trade and Health Organizations or Associations which defendant has been affiliated or a member from 1940 to the present time; (e) the identity of all Safety and Medical Journals to which defendant subscribed during the period of 1940 to the present; (f) the identity of all marine catalogues, inclusive of The Marine Catalogue and (he United States Coast Guard Equipment list, magazines, periodicals or other publications in which defendant's products were placed or identified from 1940 to the present time; (g) the particulars appertaining warnings created or disseminated m any form whatsoever with or in conjunction with Defendant's products which attempt to warn the ultimate consumer or user of the hazards of defendant's asbestos and asbestos-containing products; (h) the policy considerations and design considerations, if any, of those warnings intended to reach the ultimate consumer of the asbestos hazards associated with the use of defendant's products; (i) the identity with particularity of all lawsuits and claims, both past and present, which claim injury or death arising from defendant's asbestos or asbestos-containing products; and (j) in general, witnesses familiar with queries propounded in Plaintiffs' interrogatories to the defendants. You are directed to bring all documents upon which the deponent or deponents rely in responding to the areas raised in this Notice of Deposition. 2 x I "iHMTLini-t cvMr i.u/cw -to cz. cr -van UCAREF00013389 0'33Hd SiZS T96 6fr:1I SB. SI 33J Further, you are directed to bring along all documents requested in the Plaintiffs' Interrogatories to Defendant that have not otherwise heretofore been produced. MARITIME ASBESTOSIS LEGAL CLINIC, a division of THE JAQUES ADMIRALTY LAW FIRM, P.C Dated: December 14, 1995 By: LEONARD C. JAQUES (P15450) DONALD A. KRISPIN (P32381) Attorney for Plaintiffs 1370 Penobscot Building Detroit, MI 48226-4192 (313)961-1080 3 3 UCAREF00013390 John L. Myers Technical Consultant 102 River Drive King City, California 93930 S , Po^c/wJ?, Ssg, Utllt*! , Du^ 5~/ST S, Flout**- Sf, f W/ts /iOo 'Los. &i\ ^007/ / Ffac. t* 6 /e. tf-cr fo 'A6/^, /S' Ht_ &Yl ^ VR^*tSy ^A/^rKOU^ V# A-d Pjodud* LtqJifIt&j f" 4 X GlS j2//<c*tus CLu-d s;guj*$ Vt_ cL)Cu.v***-lXz Ptt^e. y^<?, 6 7 9 /6 is?- 2<T >7 Z9 <^'*te Ale- F *3 /o ..I 13 10 lf zv s /V IT W~o^jl Ol. Z&rjUj yHut. *LtQursi4* 'Hzutscvgl p***' ^ytLj Y'ec&rc/s. 9*^ ^f>vv^- J TEL (408) 385-6256 0 . Pjv PAX ^08) 385-3338 ' OC-7 UCAREFOOO 1339i