Document 6O3dvDX4ryqdqDE95Grr7jx4
FILE NAME Armco ARM
DATE 1998
DOC ARM013
DOCUMENT DESCRIPTION Legal Armco's Responses to Interrogatories Membership in IHF AIHA etc. IHF Card Says 1961-1971
1 || JAMES W. HUNT - Bar No. 122582 SUZANNE N. MCNULTYMCNULTY Bar No. 140263
2 | MENDES & MOUNT LLP
725 South Figueroa Street
3 } 19th Floor
Los Angeles California 90017-5419
4
213 955-7700
5 | Attorneys for Defendant
ARMCO INC
6
PARA
"
ATTY
CLASS
RECEIVED
TH
F
APR 14 1998
BRAYTON HARLEY CURTIS
OVERNIGHT HAND
MAIL
__
___
7
IN THE SUPERIOR COURT OF THE STATE OF CALIFORNIA
8
IN AND FOR THE COUNTY OF SAN FRANCISCO
9
10 || IN RE 11 | COMPLEX ASBESTOS LITIGATION
12 13
)
NO
ARMCO )
)
DEFENDANT DEFNDAT
INC.'S
)
AMENDED RESPONSES TO
)
PLAINTIFFS GENERAL ORDER
NO 129 INTERROGATORIES
14
INTRODUCTION
15
Defendant Armco Inc. hereby responds to Plaintiff's General Order No. 129
16
Interrogatories as follows
17
Discovery is continuing Initial production and review of documents has just begun in
18
;
certain cases and these answers are based upon information presently known Other
19
information may become available and defendant reserves all of its rights to amend and
222
supplement these responses if and when additional information becomes known
222
GENERAL OBJECTIONS
222
1
Defendant's responses to these interrogatories are based upon information
23
currently available and are made without prejudice to defendant's rights to use subsequently
24
~
discovered facts or facts currently known but for which the relevance significance or
25
applicability has not yet been ascertained If and as additional responsive information or
26
documents are discovered these responses will be supplemented to the extent that
27
supplementation may be required by law
28
GO129.AMD
1
A.
Joseph Thompson v Abex Corporation et al Case No. 953830
2
B.
Superior Court of the State of California County of San Francisco
3
C.
The deposition of Ernest J. Blache Jr. taken October 12 1994
D.
Brayton Gisvold & Harley presently known as Brayton Harley Curtis
5
E.
Juliette F. Finley Tooker & Antz 131 Stewart Street San Francisco
6 California 94105
7 INTERROGATORY NO 13
8
For each of the following please state whether at any time within the time frame or
9 until such time as any defendant which had been engaged in MARKETING RAW
10 ASBESTOS or CONTAINING PRODUCTS discontinued the MARKETING of
11 such products this defendant was a member or paid dues for any representative of THIS 12 DEFENDANT excluding faculty members of educational institutions to be a member of the
13 following
14
A.
15
B.
16
B. 17
18
2222222
F.
American Conference of Governmental Industrial Hygienists American Industrial Hygiene Association American Petroleum Institute American Railroad Association Asbestos Cement Producers Association Asbestos Information Association please answer through date of YOUR
2222222 answers
2222222
G.
Asbestos Information Association America please answer
2222222 through date of YOUR answers
2222222
H.
Asbestos Textile Institute ATI
2222222
I.
Industrial Hygiene Foundation and Industrial Health Foundation IHF
2222222
Industrial Mineral Insulation Manufacturers Association
L. 26
Magnesia Insulation Manufacturers Association
27
Magnesia Silica Insulation Manufacturers Association
28
M.
Mineral Wool Institute
GO129.AMD
7
N.
National Insulation Manufacturers Association NIMA
0
National Safety Council
P.
New York Academy of Sciences
4
Q.
Quebec Asbestos Mining Association QAMA
:
5
R.
Refractories Institute
6
S.
Safe Building Alliance please answer through date of YOUR answers
7
T.
Thermal Insulation Manufacturers Association TIMA
8
U.
U.S. Maritime Commission
9
V.
IDENTIFY any other organizations associations or groups of manufacturers
10 miners distributors importers labelers suppliers and sellers of ASBESTOS- .
11
CONTAINING PRODUCTS of which THIS DEFENDANT was a member
12
W.
IDENTIFY any such representative of THIS DEFENDANT
13 RESPONSE TO INTERROGATORY 13
14
A.
Yes
15
B.
Yes
16
Yes
C. 17
Upon information and belief no
18
Upon information and belief no
B. 19
Upon information and belief no
20
Upon information and belief no
21
Upon information and belief no
22
I. I.
Yes
K. 23
Upon information and belief no
24
Upon information and belief no
25
Upon information and belief no
26
Upon information and belief no
N. 27
Upon information and belief no
28
Yes
GO129.AMD
8
1
P.
Upon information and belief no
2
Q.
Upon information and belief no
3
R.
Upon information and belief no
4
S.
Upon information and belief no
5
T.
Upon information and belief no
6
U.
Upon information and belief no
7
, Upon information and belief none
8
W.
Not applicable
-
9 | INTERROGATORY NO 14
10
For each organization association or other entity identified in YOUR Response to
11 || Interrogatory No. 13 please state
12
A.
The dates during which THIS DEFENDANT was a member
13
B.
The name of any publication received by THIS DEFENDANT from such
14 || association or organization
15
C.
The name of any committee or subcommittee of which THIS DEFENDANT
16 |) was a member and the dates of such committee or subcommittee membership
17 | RESPONSE TO INTERROGATORY NO 14
18
A.
American Conference of Governmental Industrial Hygienists
19
Defendant is uncertain when it was a member of the American Conference of
2 || Governmental Industrial Hygienists Additionally defendant has been unable to find any
2 || information responsive to subparts B and C of this interrogatory If information
2 || pertaining to this defendant's membership in the American Conference of Governmental
23 || Industrial Hygienists becomes available this defendant will supplement this response at a
24 || later time
25
B.
American Industrial Hygiene Association
26
Defendant is uncertain when it was a member of the American Industrial Hygiene
27 | Association Additionally defendant has been unable to find any information responsive to
28 || subparts B and C of this interrogatory If information pertaining to this defendant's
MMCASES GO129.AMD
9
membership in the American Industrial Hygiene Association becomes available this
defendant will supplement this response at a later time
C.
American Petroleum Institute
4
5
6 7
1961-71 1961-71
1961-71 1961-71 8
1961-71 9
10
11 12
13 14 15
Armco Steel Corporation is listed as a member on the API company membership roll
for 1972 1973 and 1974
I.
Industrial Hygiene Foundation
Upon information and belief Armco Steel Corporation was a member of the
Industrial Hygiene Foundation in 1961 1963 1964 1966 1967 1968 and 1969 as to other
particular years Armco Steel Corporation's membership is undetermined
O.
National Safety Council
American Rolling Mill Company is listed as a charter member beginning in 1935 and
is listed on the membership rolls for 1936 1937 1944 and 1945. Armco Steel Corporation
is listed as a member in 1951 through 1954 1960 and 1961 through 1964. Armco Inc. was
a member of the Metals Committee in 1935 through 1936 and chairman in 1936 through
1937. Armco Inc. was a member of the Council Service Committee in 1944 and an
16 Advisory Chairman to the Metallic Coating Industry Committee for the metal section in 1951
17
and 1952. Armco Inc. was a member of the Steel Industry Committee in 1961 through
18
1964 and chairman in 1951 and on the Trade Associations Liaison Committee in 1952 an
19 Advisory Chairman to the Metal Section Steel Industry Committee in 1953 1961 and on the
20 Research and Advisory Committee in 1962 through 1964. Armco Inc. was a member of the
21 Metals Section Engineering and Consulting Committee in 1961 and 1962 and then a member 22 of the Metal Section Technical Publications Committee in 1963 and 1964
23
INTERROGATORY NO 15
24
Had THIS DEFENDANT prior to 1973 received any DOCUMENTS containing
25
results or conclusions of any studies and tests conducted by Bonsib for Standard Oil of
26
New Jersey relating to asbestos exposure in the workplace or the human health consequences
27
of exposure to asbestos If so
28
GO129.AMD
10