Document 5k5DVx1KQMDe3m3kJJv83kq28
FILE NAME: Early Asbestos Damage Suits (EADS) DATE: 1934
DOC#: EADS014
DOCUMENT DESCRIPTION: Documents from Case of Angelina de Muro Graziosi for Michael de Muro
UNITED STATES DISTRICT COURT. DISTRICT OP NEW JERSEY.
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ANGELINA DE MURO GRAZIOSI, a d m in is tra tr ix ad prosequendum o f MICHAEL DE MURO, d e c e a se d , .
* vs
r .. . . P l a i n t i f f ,
JOHNS-MANVILLE CORPORATION, " '
a c o r p o r a tio n o f .t h e S t a t e .......
o f New Y o r k ,
" *' *
. '
' ... ____ D e fe n d a n t.
. "AF~r wF~~IDAVIT OFr *** * CARMINE RUGGIERO.
*f *'r *f* , *1*-- 1 t Vt r<? \ n V . i t .-tvV
STATE OF NEW JERSEY /<
S3.
COUNTY OF ESSEX
.<-4
CARMINE RUGGIERO, b ein g d u ly sworn,
according to law , on h is o a th , say s:
* '
`` `
I r e s id e a t 415 Avenue L , B ro o k ly n ,' New
Y o r k . I am o f I t a l i a n n a tio n a lity and speak the I t a l i a n
and E n g lish la n g u a g e s.
A t t h e re q u e st o f M r. Rainer I went w ith
him to the M a n v ille p la n t o f the defendant company, on '
December 9 , 1929 and was p re se n t a t the o f f i c e o f
M r. Hughes, manager o f t h e p la n t , and a statem en t was
tak en from M rs. A n g e lin a DeMuro G r a z i o s i . A t the tim e
t h is statem en t was ta k e n th e re were p re se n t Jo sep h
DeMuro and Anthony Demuro who I was inform ed are sons
o f M rs. G r a z io s i and .a ls o M rs. A d e lin e DeMuro, who I am
informed is the daughter-in-law o f Mrs. G ra z io s i; there
were a ls o p re s e n t M r. A r c h ib a ld Hughes, Mr. Em il Rainer
and Miss C h arlo tte W olf, stenographer.
M iss W olf was asked to make a ste n o g ra p h ic
to which she r e p lie d in I t a lia n ' and I then in te r p r e tte d
h e r answers in E n g lis h and the same were reco rd e d b y "`
M iss wo
l
f
. i'--:1" 'V r y id
A ft e r th e in te r v ie w was f in is h e d .
M iss W o lf tr a n s c r ib e d th e q u e stio n s and answers in * *-*.
ty p e w r itin g on s ix sh e e ts and I then read t h e ty p e - '?
w ritte n tr a n s c r ip t in I t a lia n to M rs. G r a z io s i in the^
p re se n ce o f h e r s a id two sons and d a u g h te r -in -la w and'--5-"
asked h e r i f th e same was true and s h e .s a id t h a t 5' i t was tr u e and th a t she was w i l l i n g to s ig n same*
I in te r p r e tte d t h ee n tir e statem ent to
her c o rre ctly in the It a lia n language before sh e signed
the same;
. . .;
.V,/""- ' Y.Jh.
A fte r I had in terp retted the statement to her she then signed each of the fiv e sheets at the bottom th e re o f and then signed sheet number 6 about in
th e m id d le o f the page a t the end o f the q u e stio n s and answers#
Jo sep h DeMuro, Anthony DeMuro and A d e lin e
DeMuro a ls o sign ed each o f the f i v e s h e e ts i n my
p re se n ce and a ls o w itn e s s e d the s ig n a tu r e o f M rs.
G r a z io s i on page 6 .
I then signed a c e r t ific a t e a t th e bottom
o f page 6 s ta tin g that M rs. G ra z io si acknowledged th a t
she understood the statem ent.'
T h e re a fte r a Notary P u b lic was c a lle d
to th e o f f i c e and he asked me i f I had in t e r p r e t t e d
the statem ent in I t a l i a n to M rs. G r a z io s i and I s a id
th a t I had done s o . I heard the N otary then ask
`
On the tv/o sheets fo llo w in g s a id number 6
f
{ th e s a id tv/o sons and d a u g h te r -in -la w o f Mrs* .G r a z io s i
I
sig n e d in my p resen ce the statem en ts th a t-a p p e a r on s a id
sheets
j
' :
.......
`
I have examined sheets number 1 to 6 o f
the ty p e w r itte n "statem ent shown to me today and the
%
th e two sh e e ts fo llo w in g the same w ith o u t number. A l l
o f th e se sh e e ts are in the same c o n d itio n and th e sig n a
tu r e s th e re o n are the same as when .th ey were sig n ed in
my p re se n ce on December 9 , 1929
S u b scrib e d and sworn to :
b e fo r e me t h i s 10th day
o f F eb ru ary , 1930
;
Notary P ublic of N. J .
Twrtr n r " m u Tw i| j y tw H -- XT
t T T T n m r o kt \ j -- r r ryrx j -- tTtrdr.T' IT "L/'X? X ^ T T -
` E . RAjYER IN 'THE PRESENCE OF UR. ANTHONY D3 1EUR0, ViRS.. ANTHONY
PS 1.-.UR0 AND i'-R. CAR?*IMS RUGGIERO, ITALIAN INTERPRETER.
What i s your name ?
t *
*
}
Angdina De Uuro G razio so ' * ' " ' -' - - - - * ' `
How o ld are you ?
2c r y
; .
Six ty -o n e yeare old
: .
Are you a widow ? ''*
Yea.
-
How many tim es were you a widow ?
. : ' *-.*l.- t->i> A', n-
1 '> j- '
* v--jn ' iv a H:e
Tw ice.
What was 1/ichael De Kuro to you ?
*
My f i r s t son
*
* *
Where was he horn ?
In K a ly
How lo n g are you l i v i n g in L ia n v ille ?
Sixteen years.
.
7/here did you come from ?
From Hoboken.
, \ i
'/There was your son working in Hoboken ?
For F ish er Candy fa cto ry as a truck d r iv e r . When d id you come to lia n v ille ?
1913. How o ld was M ich ae l when you came to a n v ille ?
About 21 or 22 y e a r s . Was he s in g le ?
Sin gle
Where did he work when you came to H a n v ille He worked in "C " B u ild in g in lia n v ille F a c t o r y , Jo h n s - lia n v ille Company
Q. S t r a ig h t , te n or 12 years ? *
A No I n the Deantime, he went to war
, Q
A.
I
*
: Q
*
A
How lon g was he in the war ? I
The f i r s t tim e , nine or ten months*
*
When he came back from w ar, d id he g e t a jo b in th e M aryville F a c to r y a g a in *
*
* **
'
Llir-
Yea
- .7.
-
j Q . How lo n g d id he work a f t e r th e war here ?
A* He worked fo r a few years and then e n lis te d in th e U n ited S t a te s Army
,
and when he came back from th e arm y, he got a jo b back a g a in w ith th e
i1
;
Jo h n s-iian ville Co*
.
I - . .............v
... r - ;fJ r
I '}. When d id M ich a e l g e t married ?
A I n 1924he was 33 years o f age when he got married
, Q . What church was he married in 7
i . A . Sacred Heart Church in M a n v ille, N. J . 4
ii Q. What was h is w if e 's name 7
. . . . . - */
||
, A. Josephine Palumbo.
\
^
| Q. Where did h is w ife come from 7 , r (
f
A P en n sy lv an ia
_
,
. f ir-. . - $<*-*;; t .
Q. What c i t y 7
A. W ilk es-B a rre, Penna
Q . how o ld was she % when she g o t m arried ?
A* About tw e n ty -e ig h t.
Q. Where did th e y ta k e out lic e n s e t
A . In B e lle M eade, N J
Q. Did the w ife o f M ich a e l De i/luro ever work in U a n v ille F a c to ry *
A . She worked th e re befo re she was m a rrie d .
1 Q. How long ago 7 A . I d o n 't know, because I d id n 't know the g i r l a t th a t
tim e.
Q. Do you know th e p aren ts o f the w ife J
-LI_
nr Tint on
terms*
Q* '.'hat i s t.he c h i l d 's nuiao 7
A. Angelina*
Q* Ho* o ld i s tiTe c h ild ?
A* She i s fo u r years*
Q* How lo n g d id you have th e baby T
4 From the tim e she was born*
Q. Where was th e baby born 7
....
v* '
A* Here in J t a n v i l l e .
Q* Who was th e d o cto r who took th e baby 7
*
*
A* Dr* P o g o lo ff*
--
r><<- '
Q. I s i t a f a c t th al^ you had to take the baby because your ^son was t . . . ir .
separated from h is w ife 7
A* Y o s
Q. 7/hen was t h a t 7 Q* About a year a f t e r th e b ir th *
'' **
* ... ' -* '**'* i
,
(J* Why did you have to take care o f th e baby when th e baby was born 7
A* A ft e r the c h i l d 's b i r t h , the mother and c h ild were sent to the Bonnie
Burns h o s p it a l fo r the m other's h e a lth , and a couple o f months a f t e r .
1 took th e baby out because the fa th e r wanted i t home*
Where was the fa th e r working a t th a t tim e .
A* In D a n v ille F a c to r y .
Q . W as.th e fa th e r s ic k a t th a t time w ith lung tro u b le when the baby was
and th e w ife wa9 in Bonnie Eurns h o s p it a l 7
A* N o. He wa6 a very stro n g man a t th a t tim e .
What was the h e a lth o f Jo sep h in e De liuro s h o r tly a f t e r the c h ild was
A A f t e r th e c h ild was b o rn , my d a u g h te r-in -la w wag taken s ic k w ith Hnei
and lung tro u b le s e t in and she was tr a n s fe r r e d to the S a n ita r iu m .
Q . What was th e h e a lth o f your son a t t h i s tim e 7
A . He was fin e *
Q . 7/as he working stead y 7
lung trouble ?
A I d o n 't know.
,, ''K
Q. Can you t o l l mo.when your son separated from h is w ife ? . ..
A . About a year a f t e r .
< ; ; *.,
; /
Q . How o ld i s th e baby ?
V . ; l
f *j i - \ C'-r-.ih
A . She w i l l f i n i s h four y ea rs on th e 22nd o f F e b ru a ry , 1930.
Q . How lo n g i s your son dead ?
A* He died Ja n u a ry 14, 1929. `
Q . When did your son s t a r t to com plain about h ia lungq I - 't t.-,- c.s
#
A . Sometimes a f t e r he married Jo s e p h in e , but he did not.-show, any weakness
f o r some tim e and he was a b le to work.
Q . Did your son pay you any money fo r keepin g th e baby T
A . O nly when he wa3 w orking, he gave me som eth in g. W]nen he d id n 't work,
I go t n o th in g) and I want to say a l l 1 can t e e l you some more about
my d a u g h te r-in -la w is th a t she never.cam e back to my son to liv e again
a fte r she l e f t Bonnie Burns H o s p ita l, a fte r she l e f t Saranac Lake San
ita riu m and a ft e r she l e f t W hitehaven, and t h i s was th e l a s t p la ce she
was i n .
;
. ' i
*,,
. , 1.
Q . When d id your d a u g h te r-in -la w d ie ?
A . She d ied a week befo re my son d ie d .
Q . How t e l l me, * lr s . S r a z io s o , is i t a f a c t th a t from th e time the baby
was born u n t i l the tim e your so n , M ich ael d ie d , M ic h a e l did not work
much and d id n o t g iv e enough money fo r th e support o f the baby V
A . T h is i s r i g h t . He d id not work much, because he was s ic k w ith lu n g s ,
and I out o f my own pocket had to h e lp the baby o u t . 1 bought her
c lo th e s and 1 bought her sh o e s , and I supported h e r , as i f she was
my own baby.
Q. How lo n g before jo u r d a u g h te r-in -la w m arried your son was i t th a t
she worked in the Jo h n s -lia n v ille fa c to r y 1
* Terns' time a g o . ikiany y e a r s .
Q* A f t e r ypur son d ie d , did you have in mind to sue t h e ^ b n s - C I a n v ilie Com
pany fo r the lo ss o f your son 7
I never had any in te n tio n s o f su ein g the Jo h n e -U a n v ille Company fo r the
d ea th o f my s o n , because he d id not support me and he d id n 't support tb<
b a b y , and because I had to g iv e my son money to h e lp him
*
.*
.
Q . Do you know th a t you are su ein g the Jo h n a -U a n v ille Co* fo r th e d e a th .
4 **
"
o f your son, Michael 7
"t
.
A. Yes.
Q.% How did you come to aue t h is Company 7
A* A lawyer came to my hooe w ith a P o lo c k , who h im s e lf l o s t two daughters
and a so n , and he to ld me th a t he i s the man t h a t w i l l g et me money
j . : v . *r
fo r the death o f my son .
Q- What i s t h is la w y e r's name 7
* ^
"*
r 1 v.
*** * , ^ .
. 7 j
i
A . I don't know.
Q* What did t i s lawyer t e l l you T A* He said "Do you want something from the Company, because a l l the o th er
are sueing th e Company fo r som ething 7" -
Q . YYhat d id you say
A . I f th ere i s something th a t I can g e t the same as the o t h e r s , a l l r ig h t
Q. Did he speak to you in E n g lis h 1
.
.
A* In E n g lis h *
Q. Did you understand what you were s ig n in g 1
A The lawyer to ld me to come to S o m e rv ille and he w i l l t a lk over th e
ca se w ith me. There he asked me to s ig n papers and I signed them .
S. Kow many tim es was th e lawyer in your house 7
A* O n ce.
Q. How many tim es was th e P o lo c k , M a rsh a ll in your house 7
A. Once.
Q . Who took you to S o m e rv ille 7
'h * Did you send fo r him ?
'*
#
A* Mo, t h is Po lo ck brought him .
Q . D id you t e l l t h is P o lo ck to b rin g a lawyer ?
A. No.
' :*
! i Q . Do you understand E n g lis h ?
I
A. A little b it. '
.
'
.
4"l - ;
Q . Was your husband a c i t i z e n o f t h is co iin try T <
r.. h*. ewr, t r e e ' n- h r * f-. .R-
. A. Yes.
,
i Q . How lon g i s your husband dead ?
\
A. August of th is year.
, '
; * ....................
-
J Q . Do you want to go on w ith your, case a g a in s t Jo h n s -M a n v ille ^ C o .?
. A. I don't think 60.
! Q . Do I understand you want to drop th e case a g a in s t Jo h n s -M a n v ille Co T
' A. Yes, th at's rig h t.
.
I
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y
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`f a r *
STATE OF NSW JERSEY {
A ss.
COUNTY OF SOMERSET (; '
- ' \* \
1929 ' .......................
On t h is 9th day o f December, 19i9,, before me p e r s o n a ll
1 , Carmine R uggiero, being o f f u l l a g e , hereby c e r t if y th at l speak, rea;
UNITED STATES DISTRICT COURT DISTRICT OF HEW JERSEY.
ANGELINA DeMURO G R A ZIO Sl,
)
a d m in is tr a tr ix ad prosequendum j o f the r ig h ts , goods, c h a tte ls )
.a n d c r e d it s o f MICHAEL DeMURO,
deceased,
)
P la in tiffs, j
)
, JOHNS-MANVI LIE CORPORATION, a
)
corporation o f the S ta te o f
:
New Y o r k ,
)
ON MOTION TO QUASH V SUMMONS AND DISMISS
COMPLAINT. ORDER.
Defendant
T h is m a tte r coming on. to be heard b efo re me, in the presence o f the atto rn eys o f.th e p a rtie s (Samuel G reenstone ap p earin g fo r the p l a i n t i f f and H obart k Minard appearing fo r the d e fe n d a n t), on the retu rn o f the ru le to show cause allow ed h e r e in on Mardh 7 th , 1930, why the summons should n o t be quashed and the c o m p la in t dism issed on th e grounds s ta te d i n s a id r u l e , and the co u rt h a rin g taken the testim o n y o f th e p a r t ie s in open c o u r t, and i t a p p e a rin g th a t the a tto r n e y fo r the p l a i n t i f f was p ro p e rly r e ta in e d and a u th o r iz e d to commence the abore a c t io n ; and the atto rn ey s fo r the defendant having consented in open court to the d ism issa l o f the said r u le ;
I t i s . on th is ORDERED, . th a t the s a id r u le t o show cause be and the same i3 hereby d ism isse d w ithou t c o s t s .
t>ln1 n t i f f
C c^ \ l-
U lilT S D ST A TES D IS T R IC T Court
FOR THE D IS T R I C T OF KE'.Y JE R S E Y
--------------
ANGELINA DeliURO GRAZIOSI, ad m in is t r a t r i x ad prosequendum o f I'JCHAEL DeliURO, d'eceased,
Plaintiff
vs.
JOKHS-KANVILLE CORPORATION, a C o rp o ra tio n of the S t a t e o f Hew York,
Defendant
i
fiction at Law .
ORDER FO R D ISCO JfTIJfVAJfCE.
'JX o / f
\
(. '
The above entitled cause having been settled between the parties thereto;
It is O R D E R E D , that the same be, and it is hereby discontinued, without cost&o either party
as against the other.
4
Entered Ju n e 1 3 ,
Ji?34
On motf on of
J h ~ ^ ff'L | V '/L Attorneys of defendsiitr
Consent is hereby given to the m aking and entering o f the above order.
laintiif