Document 6BwvdjeejM86BkrVem6kOyX2o
NO. 96-333
IRMA BUSTAMANTE, INDIVIDU3LLY
AND AS PERSONAL REPRESENTATIVE
OF THE HEIRS'ANDTSTATE OF JOSE
PERALTA, DECEASED
ZZ
VS. .
OWENS CORNING (A/K/A OWENS! CORNING CORPORATION), ET ALL
2000-757
IN THE COUNTY COURT
AT LAW NO. THREE EL PASO COUNTY, TEXAS
IGNACTO SERAFIN vs. OWENS-CORNING. ETAL
_Z_
IN THE COUNTY COURT AT LAW
NO. 3
EL PASO COUNTY, TEXAS
CHEVRON U.SZL INC.'S SUPPLEMENTAL RESPONSES TO PLAINTEEF'S REQUESTS FOR PRODUCTION
TO; Plaintiffs, IRMA BUSTAMANTE, and IGNACIO SERAFIN by and through their attorney of record, Lou Thompson, Baron & Budd, 3102 Oak Lawn Avenue, Suite I 100, Dallas, Texas 75219-4281.
NOW COMES CHEVRON-U.S.A., INC.. Defendant herein, and makes and Files this its
Supplemental Response to Plaintiffs' Requests for Production.
Respectfully submitted,
STRONG, PIPKIN, NELSON, BISSELL& LEDYARD, L.L.P.
State Bar No, 02979600 14th Floor. San Jacinto Building Beaumont. Texas 77701-3255 (409)981-1000 FAXt 409 )981 -1010
ATTORNEYS FOR DEFENDANT, CHEVRON U.S.A. INC.
CERTIFICATE OF SERVICE I hereby certify that a true and correct copy of the Chevron U.S.A. Inc.'s Second Supplemental Response to Request for Production SHbeing furnished to Plaintiffs counsel by certified mail, return receipt requested on this thed8"' day of JuneTSOOl.
Michael T,