Document 5D8oXj4YeLdo802rMe3RG5mL4
11572-1000
MXY/dal
(b) a member ofany committee or subcommittee ofany trade organization, association or entity identified in response to Interrogatory No. 94?
(c) the chair ofany committee or subcommittee ofany trade organization, association or entity identified in response to Interrogatoty No. 94?
(d) the representative or liaison for any trade organization, association or entity identified in response to Interrogatory No. 94 to any other trade organization, association or entity, including, but not limited to. A.T.I., I.H.F., N.I.M.A., A.LA., N.I.C.A., T.I.M.A., Q.A.M.A., N.A.C., N.S.C., A.C.S., N.B.M.D.A., N.I.A., S.M.F.M.A.?
ANSWER:
Defendant does not currently know whether any officer, employee, agent or representative of
Warner Electric Brake & Clutch Company served in any such capacity for either the Society of
Automotive Engineers or the Power Transmission Distributor Association. Defendant believes that
employee Stan Owens may have been, for some period oftime, in the 1980's or 1990's, Chairman of
a committee or group within the Power Transmission Distributor Association.
INTERROGATORY NO. 97:
For each subpart of Interrogatory No. 96 to which your answer is "yes," identify each and
every person serving in such capacity and:
(a) state the trade organization, association or entity for which such service was rendered;
(b) specify the capacity of service, including identifying any specific committee, subcommittee or other trade organizations, associations or entities involved; and,
(c) state the applicable dates ofservice.
ANSWER:
See Answer to Interrogatory No. 96, which is incorporated herein as if fully rewritten.
102