Document 6RMkGE1N93q6oO86mrdVLNN84

1 united states district court FOR THE WESTERN DISTRICT OF NEW YORK 2 3 HOLLY M. SMITH, Administratrix of the Estate of William R. Smith, Deceased, 4 and Individually as the Widow of William R. Smith and as Parent of and 5 on behalf of the infant child, ASHLEY MARIE SMITH, 6 Plaintiff, ^ 7 vs CA 8 THE DOW CHEMICAL COMPANY; PPG INDUSTRIES, 9 INC, AND SHELL OIL COMPANY 10 Defendants and Third-Party Plaintiffs, 11 12 fh A0 THE GOODYEAR TIRE & RUBBER COMPANY, 13 Third-Party Defendant. 14 ---------------- - - - x 15 Tuesday, September 19, 1995 16 Washington, D. C. 17 VIDEOTAPE DEPOSITION OF: 18 MARCUS M. KEY, MD, 19 called for oral examination by counsel for the 20 plaintiff, in the offices of James & Hoffman, 1146 19th 21 Street, Northwest, Washington, D.C. 20036, beginning at ^ 22 10:15, A.M. on Tuesday, September 19, 1995, before DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37265 2 1 Maureen Donelson, court Reporter, Notary Public in and 2 for the District of Columbia, when were present on behalf 3 of the respective parties: 4 ON BEHALF OF THE PLAINTIFF: 5 STEVEN H. WODKA, Esquire 21 Rosslyn Court, 6 PO Box 66 Little Silver, New Jersey 07739 7 ON BEHALF OF THE DEFENDANTS 8 NIXON, HARGRAVE, DEVANS & DOYLE, ESQUIRES 9 BY: SAMUEL GOLDBLATT, Esquire 1600 Empire Tower 10 Buffalo, New York 14202 11 ON BEHALF OF THE THIRD-PARTY DEFENDANT 12 VOLGENAU & BOSSE, ESQUIRES DIANE F. BOSSE, ESQUIRE 13 750 Main Seneca Building 237 Main Street 14 Buffalo, New York 14203 15 ALSO PRESENT: 16 Shelley Sanders, video specialist 17 - 0 - 18 19 20 21 22 DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37266 200TtQ& 1 2 3 WITNESS: 4 5 MARCUS KEY, MD 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 INDEX EXAMINATION ON BEHALF OF: 3 PLAINTIFF: (Mr. Wodka) 5 145 -0- DEFENDANTS: (Mr. Goldblatt) 43 (Ms. Bosse) 132 250 DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37267 1 2 KEY DEPOSITION 3 EXHIBITS EXHIBITS FOR IDENTIFICATION 4 1 - Notice of Deposition 5 5 2 - Memo 5 6 3 - Letter 5 7 4 - Memo 5 8 5 - Emergency TemporaryStandard 5 9 6 - Document 5 10 7 - Memo 105 11 (Exhibit Nos. 1 thru 7 retained by counsel) 12 - 0 - 13 14 15 16 17 18 19 20 21 22 4 DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37268 n -5 1 PROCEEDINGS 2 (Documents marked Key Exhibit Nos. 1 through 3 6 marked before commencing the deposition) 4 VIDEO SPECIALIST: This is videotape No. l. 5 The time on the screen is 10:15:05. We7re on the record. 6 MR. WODKA: Please swear in the witness. 7 Thereupon, 8 MARCUS M. KEY, MD, 9 having been first duly sworn by the Notary Public, was 10 examined and testified as follows: 11 EXAMINATION ON BEHALF OF THE PLAINTIFF 12 BY MR. WODKA: 13 Q. Good morning. 14 A. Good morning. 15 Q. Would you please state your name and 16 address for the record? 17 A. I'm Marcus M. Key of Irvington, Virginia. 18 I am a retired professor from the University of Texas 19 Health Science Center in Houston. 20 Q. Dr. Key, what is your date of birth? 21 A. March 2, 1924. 22 Q. And would you briefly tell us your DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37269 sootzm z 1 educational background? 6 2 A. Columbia College, BA in '47 '48 -- '49, MD 3 from Columbia in '52, master of industrial health. 4 Harvard, '54. 5 Q. And did you also take an internship? 6 A. I interned in the Boston Marine Hospital, 7 part of the U.S. Public Health Service. 8 Q. Did you have any clinical training? 9 A. In addition to the training in occupational 10 medicine I got at Harvard, I felt I needed an additional 11 clinical specialty and went through a dermatology 12 residency at Columbia Presbyterian in New York and 13 Cincinnati General Hospital. 14 Q. Sir, it's my understanding in 1956 you 15 joined the federal government; is that correct? 16 A. As a medical officer in the division of 17 occupational health in Cincinnati. 18 Q. And eventually you rose to a position as 19 director of the Bureau of Occupation Safety and Health; 20 is that correct? 21 A. In Washington, in 1969. 22 Q. And in that year, it's my understanding you DERENBERGER & PAGE REPORTING, I" (301) 656-6060 BFG37270 9 0 0 te e $ '1 7 1 also received an appointment as assistant Surgeon General 2 of the United States? 3 A. Yes. 4 Q. Now, sir, in 1970, it's my understanding 5 that the Occupational Safety and Health Act was enacted 6 by the United States Congress. 7 Do you know what the purpose of the' 8 Occupational Safety and Health Act was? 9 MR. GOLDBLATT: I object to the form. 10 THE WITNESS: It's very nicely stated near 11 the beginning of the act. It was to insure as far as 12 possible safe and healthful working conditions, and to 13 preserve our nation's human resources. 14 BY MR. WODKA: (RESUMED) 15 Q. And as a result of the passage of the 16 Occupational Safety and Health Act in 1970, what happened 17 to the Bureau of Occupational Safety and Health that you 18 were director of? 19 A. It was deactivated and the personnel and 20 assets went into the newly created National Institute for 21 Occupational Safety and Health, which we'll refer to as 22 NIOSH. DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37271 % 8 1 Q. With the creation of NIOSH, did you receive 2 a new appointment? 3 A. I was given a promotion to the next level 4 of the system, assistant Surgeon General. 5 Q. With respect to NIOSH, did you hold a 6 position? 7 A. I was a director of the Institute, the 8 first director. 9 Q. And how long did you serve in that 10 capacity? 11 A. Until October of 1974, when I retired. 12 Q. Under the Occupational Safety and Health 13 Act, what are NIOSH's responsibilities for worker safety 14 and health? 15 A. A short answer would be NIOSH serves as the 16 research arm of OSHA. To elaborate, NIOSH has two major 17 responsibilities relating to OSHA: One is surveillance, 18 doing epidemiologic studies, industry wide studies, 19 health hazard evaluations in order to discover new 20 problems, and the other is to develop criteria for 21 standards through research and other studies, which can Cl o 22 end up as recommended standards that can be passed on to fi DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37272 0D 1 OSHA for their rule making procedures. Q. You mentioned -- A. We also had -- Q. I'm sorry. Go ahead. A. NIOSH also had responsibilities under the same act for manpower development, and under the Coal Mine Health and Safety Act it had other responsibilities' Q. You mentioned that NIOSH was to determine or uncover new problems in the workplace; is that 10 correct? 11 That's correct. 12 Q. Was NIOSH to act as an early warning system 13 to OSHA of new occupational health hazards? 14 MS. BOSSE: Objection to the form. 15 MR. GOLDBLATT: Objection to the form. 16 MR. WODKA: You can answer. 17 THE WITNESS: Yes. 18 BY MR. WODKA: (RESUMED) 19 Q. Sir, what is vinyl chloride? 20 A. Vinyl chloride is a colorless vapor at room 21 temperature and pressure. It's a hydrocarbon, which is 22 used as a monomer to make the plastic which we know is DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37273 5021009 1 vinyl or PvC. 10 2 Q. And in 1973, do you know how much vinyl 3 chloride was manufactured in the United States? 4 A. Not exactly, within the billions of pounds. 5 Q. With respect to the vinyl chloride and poly 6 vinyl chloride industry, do you know how many workers 7 were employed in those industries in 1973? 8 A. Yes, we had that record on number, 1,500 9 making the monomer, and 5,000 making the polymer. 10 Q. So a total of 6500 workers in these 11 industries? 12 A. Yes. There were a lot more though in the 13 fabrication part of it. And if there had been any 14 carryover into the consumers, it would have been into the 15 hundreds of thousands. 16 Q. In 1973, do you know what the permissible 17 exposure limit was in the workplace for vinyl chloride? 18 A. OSHA had a limit of 500 parts per million 19 ceiling value, 8 hours a day, 5 days a week working 20 lifetime. 21 Q. In 1973, was NIOSH considering the 22 development of a recommended criteria for a new OtOTZOfi DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37274 $.*? 1 occupational standard for worker exposure to vinyl 11 2 chloride? 3 A. Yes. We had developed a priority system 4 for criteria documents and recommendations to OSHA. We 5 published a request in the Federal Register in January of 6 '73 for potential toxicity information on some 23 7 substances, vinyl chloride among them. It was a high 8 priority substance. 9 Q. Now, in late June, 1973, was NIOSH 10 contacted by a representative of the Manufacturing 11 Chemists Association seeking a meeting regarding vinyl 12 chloride? 13 A. Yes. 14 Q. Generally were you familiar with who was or 15 what was the Manufacturing Chemists Association? 16 A. Yes. 17 Q. Can you tell us briefly what your 18 understanding of the Manufacturing Chemists Association 19 was? 20 A. It was a trade association made up of 21 members, manufacturing members of the chemical industry, 22 known today as CMA. ;s. DERENBERGER & PAGE REPORTING, (301) 656-6060 INC. BFG37275 . 12 1 Q. And to your knowledge, would that 2 association include manufacturers of vinyl chloride? 3 A. Yes. 4 Q. Now, sir, as of this time, we're talking 5 about June, 1973, did you have any information to 6 indicate that occupational exposure to vinyl chloride at 7 500 parts per million could cause cancer? 8 A. No. 9 Q. Now, did that meeting take place with 10 representatives of the Manufacturing Chemists 11 Association? 12 A. Yes. 13 Q. When did it take place? 14 A. July 17, 1973. 15 Q. Where did the meeting take place? 16 A. In my office. Park Lawn Building, part of 17 the.Public Health Service in Rockville, Maryland, just 18 outside of Washington. 19 Q. Who was present for NIOSH? 20 A. Myself, Keith Jacobson, Frank Mitchell, Don 21 Lassiter, Richard James. 22 Q. Now, these other four gentlemen that you N 5021012 DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37276 '1 13 1 just mentioned, what was their positions with NIOSH? 2 A. They had staff appointments in the criteria 3 development branch of the Office of Research and 4 Standards Development of NIOSH. 5 Q. And regarding the Manufacturing Chemists 6 Association, do you know who was present for them? 7 A. George Best, their managing director, VK 8 Rowe, Dow Chemical, David Duffield, Imperial Chemical 9 Industries, ICI of Great Britain, Rhinehart and -- let's 10 see, Rhinehart was from Ethyl (phonetic), and Union 11 Carbide had a representative there, whose name I can't 12 recall, but will do so shortly. 13 Q. Was his name Ray Wheeler? 14 A. Wheeler, that is correct. 15 Q. Now, you mentioned a VK Rowe. Was he a 16 physician? 17 A. He was a toxicologist. 18 Q. And you told us that he was with the Dow 19 Chemical Company? 20 A. Out of Midland, Michigan. 21 Q. Did you know what his position was with Dow 22 Chemical? DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37277 . 14 1 A. He was in charge of industrial hygiene for 2 the company. 3 Q. With respect to the other gentlemen, 4 Rhinehart and Wheeler, did you know what their positions 5 were respectively with Ethyl and Union Carbide? 6 A. I may have, but I don't recall now. 7 Q. Who was the spokesman for the group, for 8 the MCA group, I should say? 9 A. VK Rowe was the spokesman. 10 Q. Prior to this meeting, had you ever met Dr. 11 Rowe? 12 A. Yes. I had known him professionally for a 13 number of years in my activities in the Bureau of 14 Occupational Safety and Health, and before that in the 15 Division of Occupational Health. 16 Q. What was your understanding of the purpose 17 of the MCA group of wanting to meet with you? 18 A. To brief NIOSH on European studies on vinyl 19 chloride and on proposed US studies on vinyl chloride. 20 Q. Now, was this information that they wanted 21 to bring to NIOSH's attention? 22 MR. GOLDBLATT: I object to the form. DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37278 % 1 - 15 1 MR. WODKA: Let me rephrase it. 2 BY MR. WODKA: (RESUMED) 3 Q. Did the Manufacturing Chemists Association 4 ask for this meeting? 5 A. Yes. 6 Q. And is it your understanding that they 7 asked for the meeting in order to inform NIOSH of certain 8 things? 9 A. Yes. 10 Q. Now, sir, was there a discussion during 11 this meeting of whether vinyl chloride could cause 12 cancer? 13 A. We were told that it had acted as an animal 14 carcinogen in European studies. 15 Q. And with respect to the European studies, 16 what was your understanding of the exposure levels that 17 were being tested? 18 A. Dr. Duffield was doing this part of the 19 meeting. He said that Professor Viola had been exposing 20 rodents to very high doses of vinyl chloride -- 21 Q. Do you know how high the dosage was? 22 A. Thirty thousand parts per million, in order DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37279 ST0T20SZ # 16 1 to try to reproduce - an unusual disease, acroosteolysis, 2 in the rats. 3 Q. And at 30,000 parts per million of vinyl 4 chloride, had Dr. Viola been successful in producing 5 tumors? 6 HR. GOLDBLATT: I object to the form. 7 MR. WODKA: You can answer. 8 THE WITNESS: Yes, he had. According to 9 Duffield, Viola's initial interpretation had to be 10 changed after tissue specimens were reexamined. 11 Initially Viola thought that tumors of the 12 lung and other organs were being produced; cancer, that 13 is, whereas on reexamination it appeared that the tumors 14 were cancers of the Zymbal gland, a ceruminous gland 15 found in the ear of rats, and that tumors seen elsewhere 16 were metastases from the Zymbal gland tumors. 17 BY MR. WODKA: (RESUMED) 18 Q. Did Dr. Duffield report to you on any new 19 animal testing that was going on in Europe? 20 A. Yes. He said there was a second order 21 study underway at more reasonable levels of exposure, 22 which we took to mean lower levels, that tumors had been DERENBERGER & PAGE REPORTING, IF (301) 656-6060 BFG37280 17 1 seen, which seemed to confirm Viola's original findings, 2 which we took to mean Zymbal gland tumors, that the 3 studies were ongoing, and that NIOSH would be informed as 4 to the results., 5 Q. Now, at this point in time, in July, 1973, 6 you've told us that the permissible exposure limit for 7 vinyl chloride was 500 parts per million; is that 8 correct? 9 A. Yes. 10 Q. And Dr. Viola had been testing and finding 11 tumors at 30/000 parts per million; is that correct? 12 A. Yes. 13 Q. Were you informed during this meeting of 14 what the levels were that the animals were being tested 15 in this new second order study? 16 A. Only that the exposure levels were more 17 reasonable, no numbers. 18 Q. At any time during this meeting with the 19 MCA group, including Dr. Rowe, were you informed that 20 this new European study, this second order study that you 21 referred to, had found tumors of exposures as low as 250 N 22 parts per million? iXotzO? DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37281 1 A. No. 18 2 Q. At any time during this meeting with the 3 MCA group, including Dr. Rowe, were you informed that 4 tumors in this second order or new study had included 5 angiosarcoma of the liver of exposures as low as 2 50 6 parts per million? 7 A. No. 8 Q. Now, you've told us that at the time of 9 this meeting, that you had known Dr. Rowe for a number 10 of years in a professional sense, in a professional 11 manner? 12 A. Yes. 13 Q. At the time of this meeting, did you trust 14 Dr. Rowe as a professional colleague? 15 A. Yes. 16 Q. And at the time of this meeting, was it 17 your belief that if Dr. Rowe knew that angiosarcoma of 18 the liver had been produced in test animals as low as 250 19 parts per million, that he would have told you that 20 information? 21 MR. GOLDBLATT: Objection. 22 MR. WODKA: You can answer. 2 S 0 2 1- - Q 1 8 DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG37282 1 THE WITNESS: Yes. 19 2 BY MR. WODKA: (RESUMED) 3 Q. And, sir, we've been talking about these 4 numbers. We have the 18,000 parts per million producing 5 tumors, which you did know about at the time of July, 6 1973? 7 A. Thirty. 8 MR. GOLDBLATT: Objection. 9 MR. WODKA: I'm sorry. Let me start over. 10 BY MR. WODKA: (RESUMED) 11 Q. You did know about the 30,000 parts per 12 million producing tumors at the time of this meeting? 13 A. Yes. 14 Q. And the occupational exposure limit in the 15 United States at the time was 500 parts per million? 16 A. Yes. 17 Q. If you had been told during this meeting in 18 July, 1973, of effects as low as 250 parts per million -- 19 and when I say effects, I'm talking about tumors in test 20 animals -- would that have been Significant? 21 MR. GOLDBLATT: Objection to the form. 22 MS. BOSSE: Objection to the form. GlOlZQVZ DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37283 20 1 MR. WODKA: You can answer. 2 THE WITNESS: Yes. 3 BY MR. WODKA: (RESUMED) 4 Q. What would have been the significance of 5 knowing of tumors being produced at 250 parts per 6 million? 7 A. The significance was that vinyl chloride 8 might have to be upgraded from an animal carcinogen to a 9 suspected human carcinogen. 10 Q. And is that a government action that you're 11 referring to? 12 A. It's a toxicologic way of looking at animal 13 studies. It's not a government action per se, but it 14 would usually result in a health standard for the 15 substance. 16 Q. And in your position as director of NIOSH 17 in July, 1973, would the upgrading of its status have 18 triggered any action on your behalf? 19 MR. GOLDBLATT: Objection to the form. 20 MS. BOSSE: Objection to the form. 21 MR. WODKA: Strike that. 22 MR. WODKA: Would the upgrading of the OZOTSo^ DERENBERGER & PAGE REPORTING, INC, (301) 656-6060 BFG37284 21 1 status of vinyl chloride as a result of that information 2 have caused NIOSH to take any action? 3 MR. GOLDBLATT: Objection to the form. 4 MS. BOSSE:, Objection to the form. 5 MR. WODKA: You can answer. 6 THE WITNESS: Yes. 7 MR. WODKA: Can you just tell us briefly 8 what action typically would occur when NIOSH would 9 receive that kind of information? 10 MR. GOLDBLATT: Objection to the form. 11 MS. BOSSE: Objection to the form. 12 MR. WODKA: You can answer. 13 THE WITNESS: The action would have been 14 quite similar to that taken in January of the next year 15 where NIOSH learned of the three deaths from angiosarcoma 16 in Louisville and of Maltony's production of angiosarcoma 17 in rodents. 18 MR. WODKA: We'll get on to that. 19 BY MR. WODKA: (RESUMED) 20 Q. At the time of this meeting, again with the 21 MCA group including Dr. Rowe, were you provided with the 22 identity of the researcher in Europe who was performing DERENBERGER & PAGE REPORTING, (301) 656-6060 INC. BFG37285 % 1 this new test? 22 2 A. No. 3 Q. Did you take notes at this meeting? 4 A. I did not, but some of the staff did. 5 Q. And do you know who on your staff took 6 notes? 7 A. Jacobson and Mitchell. 8 Q. And was it your regular practice to have a 9 staff member take notes of discussions in your office 10 with members of the public? 11 A. Usually. 12 Q. And subsequent to this meeting that we're 13 talking about in July, 1973, were those notes reviewed? 14 MR. GOLDBLATT: Objection to the form. 15 MR. WODKA: You can answer. 16 THE WITNESS: I asked Lassiter and Mitchell 17 to review their notes and write me a memo as to what they 18 concluded of the meeting, as to what transpired in the 19 meeting. 20 BY MR. WODKA: (RESUMED) 21 Q. Doctor, I show you what's been marked as 22 Key Exhibit No. 2 and ask you if you can recognize this C\ C> DERENBERGER & PAGE REPORTING, (301) 656-6060 INC. BFG37286 O to to 1 document? 2 A. 23 Yes, but what happened to Key Exhibit No. 3 1? 4 Q. Key Exhibit No. 1 is just a notice of the 5 deposition. You're keeping track of us. 6 With respect to Key Exhibit No. 2, can you 7 tell us what it is? 8 A. It's a memo to me from Jacobson and 9 Mitchell telling what went on at the meeting with MCA. 10 Q. And is Key Exhibit No. 2 authored by the 11 same Dr. Jacobson and Dr. Mitchell who attended the 12 meeting with you and the MCA representatives? 13 A. Yes. 14 Q. To your knowledge, is Key Exhibit No. 2 15 based on Dr. Jacobson's and Dr. Mitchell's notes of the 16 meeting? 17 A. Yes. 18 MR. GOLDBLATT: Objection to the form. 19 MS. BOSSE: Objection to the form. 2 0 MR. WODKA: Was Key Exhibit No. 2 kept in 21 the course of regularly conducted business activities of 22 NIOSH? ezoxzqzz DERENBERGER & PAGE REPORTING, (301) 656-6060 INC. BFG37287 24 1 MR. GOLDBLATT: Objection to the form. 2 MR. WODKA: What is your objection? 3 MR. GOLDBLATT: I object to leading. 4 MR. WODKA: Let me repeat it. 5 Was Key Exhibit No. 2 kept in the course of 6 regularly conducted business activity of NIOSH? 7 THE WITNESS: Yes. 8 BY MR. WODKA: (RESUMED) 9 Q. Now, sir, I'd like to refer you to page 2 10 of Key Exhibit No. 2 and to the paragraph at the top. it 11 states, "There was no mention of angiosarcomas." 12 Do you see that, sir? 13 A. Yes. 14 Q. Is that sentence consistent with your 15 recollection of what transpired at the meeting with the 16 MCA representatives? 17 A. Yes. 18 Q. And, sir, looking a little bit further down 19 the page, the next to the last paragraph on page 2 of Key 20 Exhibit No. 2, it states, "A recent conversation with VK 21 Rowe in May, 1974 elicited the comment after he consulted 22 his notes of the meeting that NIOSH had been told that DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37288 25 1 the new Italian study had found tumors at 250 parts per 2 million but not at lower concentrations. NIOSH staff 3 notes and recollection are nonconfirmatory." 4 Do you see that paragraph, sir? 5 A. Yes. 6 Q. Can you tell us what nonconfirmatory means? 7 MR. GOLDBLATT: Objection to the form. 8 MS. BOSSE: Objection to the form. 9 MR. WODKA: You can answer. 10 THE WITNESS: It means that we thought our 11 recollection was correct and VK Rowe's was incorrect. 12 MR. WODKA: Now, sir, at the time of this 13 meeting in July, 1973, did you know that it had been 14 planned for more than two months in advance by the MCA? 15 MR. GOLDBLATT: Objection to the form. 16 MR. WODKA: You can answer. 17 THE WITNESS: No. 18 MR. WODKA: Did you know at the time of 19 this meeting that the MCA representatives had the goal 20 that NIOSH and OSHA "not overreact" on vinyl chloride? 21 MR. GOLDBLATT: Objection to the form. w: 22 MS. BOSSE: Objection to the form. O DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37289 8 M T 26 1 MR. WODKA: You can answer. 2 THE WITNESS: No. 3 MR. WODKA: At the time of this meeting, 4 did you know it was their intention -- I'm talking about 5 the MCA representatives -- to describe the animal testing 6 results from Europe "in very general terms without 7 leaving any written information?" 8 MR. GOLDBLATT: Objection to the form. 9 MS. BOSSE: Objection to the form. 10 MR. WODKA: You can answer. 11 THE WITNESS: No. 12 BY MR. WODKA: (RESUMED) 13 Q. You met with a Dr. Wheeler. He was a 14 representative from Union Carbide at this meeting. 15 A. I believe it was a Mr. Wheeler. 16 Q. I'm sorry, you're correct, Mr. Wheeler. 17 Did you know at the time of this meeting in 18 July, 1973, that Dr. Wheeler had written five months 19 earlier that Dr. Maltony's results of tumors at 25Q parts 20 per million "are probably undeniable?" 21 Did you know that? 22 MR. GOLDBLATT: Objection to the form. DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37290 SZOlfaKZ 27 1 MS. BOSSE: Objection to the form. 2 THE WITNESS: No. 3 MR. WODKA: Did Mr. Wheeler say anything 4 like that to you at the meeting? 5 MR. GOLDBLATT: Objection to the form. 6 MS. BOSSE: Objection to the form. 7 THE WITNESS: No. 8 MR. WODKA: You also met with a Dr. 9 Rhinehart from Ethyl at the meeting in July, 1973. Did 10 you know at the time that Dr. Rhinehart five months 11 earlier had written, "Dr. Maltony's study is considered 12 good and all agree the results certainly indicate a 13 positive carcinogenic effect above or at 250 parts per 14 million?" 15 Did you know that Dr. Rhinehart had written 16 that at the time of your meeting in July of 1973? 17 MR. GOLDBLATT: Objection to the form. 18 MS. BOSSE: objection to the form. 19 THE WITNESS: No. 2 0 MR. WODKA: Did Dr. Rhinehart at the 21 meeting in July, 1973, state anything along those lines 22 or make a statement to that effect? DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37291 LZm z m z 28 1 MR. GOLDBLATT: Objection to the form. 2 THE WITNESS: No. 3 BY MR. WODKA: (RESUMED) 4 Q. Sir, in your role as director OF NIOSH, 5 when did the next significant event occur concerning 6 vinyl chloride? 7 A. January of 1974. 8 Q. Can you tell us what happened in January, 9 1974? 10 A. A meeting with a physician from BF Goodrich 11 and his consultant in epidemiology was held at NIOSH 12 January 22nd. And Maurice Johnson was the medical 13 director of Goodrich and Irving Tabershaw was the 14 consultant. 15 Q. What did Dr. Johnson tell you in that 16 meeting? 17 A. That they had discovered three cases of 18 angiosarcoma, a malignant liver tumor, among employees at 19 the Louisville plant exposed to vinyl chloride. 20 And at the same time we learned that 21 Professor Maltony in Europe had been conducting the 22 second order toxicology study, and had produced tumors in DERENBERGER & PAGE REPORTING, (301) 656-6060 INC. BFG37292 JO aC/: JO H p JO 00 1 rat livers as low as 250 parts per million in 29 2 concentration of vinyl chloride. 3 Q. Were you told at this meeting what type of 4 tumors were produced in the livers of those test animals? 5 MR. GOLDBLATT: Objection to the form. 6 MR. WODKA: You can answer. 7 THE WITNESS: Angiosarcoma, the same as in 8 humans. 9 MR. WODKA: Was January 22, 1974, the first 10 time that you learned of an unusual incidence of cancer 11 in workers exposed to vinyl chloride? 12 MR. GOLDBLATT: Objection to the form. 13 MR. WODKA: You can answer. 14 THE WITNESS: Yes. 15 BY MR. WODKA: (RESUMED) 16 Q. And that cancer was angiosarcoma of the 17 liver; is that correct? 18 A. Yes. 19 Q. And is angiosarcoma of the liver a rare 20 form of cancer in humans? 21 A. Quite rare. 22 Q. Was January 22, 1974, the first time that 6Z0TZCCZ DERENBERGER & PAGE REPORTING, (301) 656-6060 INC. BFG37293 30 1 you learned -chat Dr. Maltony had previously produced the 2 same rare form of cancer in test animals at exposures of 3 250 parts per million? 4 A. Yes. 5 Q. On January 22, 1974, did you believe that a 6 new occupational health hazard had been discovered? 7 MR. GOLDBLATT: Objection to the form. 8 MR. WODKA: You can answer. 9 THE WITNESS: Yes. 10 BY MR. WODKA: (RESUMED) 11 Q. And in your position as director of NIOSH, 12 what did you do as a result? 13 A. We moved rapidly, sending a team into the 14 Goodrich plant in Louisville to ascertain exposure levels 15 there. We conferred with other toxicologists and with 16 clinical physicians at the National Institutes of Health 17 to develop some guidelines for diagnosing the tumor for 18 early diagnosis, and for medical surveillance. 19 We then proceeded to develop three types of 20 documents that were sent to OSHA for proposed rule 21 making: One was recommended work practices for those 22 exposed over a certain level, another was recommended eeorso52 DERENBERGER & PAGE REPORTING, (301) 656-6060 INC. BFG37294 31 medical surveillance, and the third was recommended environmental surveillance or monitoring. Q. Now, sir, let me show you what's been 4 marked as Key Exhibit No. 3, and ask you if you recognize 5 this document? A. Yes. Q. Can you tell us what Key Exhibit No. 3 is? 8 A. It's a letter I wrote to George Best at Manufacturing Chemists Association relating what we had 10 discovered thus far about the vinyl chloride problem, and 11 in closing recommended monitoring and control procedures 12 for the polymerization process. 13 Q. And, sir, if you can tell us what is the 14 date of this document? 15 A. January 31, 1974. 16 Q. And this is nine days after your first 17 meeting with BF Goodrich? 18 A. Quite soon. 19 Q. Sir, let me show you what's been marked as 20 Key Exhibit No. 4, and ask if you can recognize this 21 document? 22 A. Yes. DERENBERGER & PAGE REPORTING, (301) 656-6060 INC. BFG37295 W C/T O N |H> \o 32 1 Q. Can you tell what Key Exhibit No. 4 is? 2 A. It is a memorandum from me to the assistant 3 secretary of labor, the person in charge of the 4 Occupational Safety and Health Administration, containing 5 recommended occupational health standards for the 6 manufacture of the synthetic polymer, PVC, from vinyl 7 chloride. 8 Q. Was Key Exhibit No. 4 NIOSH's formal 9 recommendation to OSHA regarding vinyl chloride? 10 A. It was the first of several. It was 11 followed by a more specific recommendation on health 12 monitoring and a more specific one on environmental 13 monitoring, but it was the first of a series. 14 Q. What was the date that Key Exhibit No. 4 15 was transmitted to OSHA? 16 A. March 11, 1974. 17 Q. Sir, I'd like you to turn, if you would, to 18 the second page of Key Exhibit No. 4, and I'll refer you 19 down to I think it's the third paragraph where it states, 20 "As previously indicated, NIOSH considers this to be a 21 most see serious problem and strongly urges that 22 expedited rule making be implemented by OSHA to ensure DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37296 o w O CJ 1 that the health of. exposed workers is promptly and 33 2 adequately safeguarded." 3 Do you see that paragraph, sir? 4 A. Yes. 5 Q. Did you hold the same position at the time, 6 that rule making be expedited? 7 A. Yes. 8 MR. GOLDBLATT: Objection to the form. 9 MS. BOSSE: Objection to the form. 10 BY MR. WODKA: (RESUMED) 11 Q. Now, sir, after you transmitted Key Exhibit 12 No. 4 to OSHA, did OSHA respond? 13 A. Yes, they promulgated -- they went through 14 the rule making process and promulgated an emergency 15 temporary standard the next month, April the 5th, X 16 believe. 17 Q. Sir, let me show you what's been marked as 18 Key Exhibit No. 5 and ask if you recognize this document? 19 A. Yes, it is the emergency temporary standard 20 for exposure to vinyl chloride that OSHA promulgated. 21 Q. And what is the date of the emergency 22 temporary standard? Q -------------------------------------------------------------------------------------------------------------------------------------------------------M O DERENBERGER & PAGE REPORTING, INC. ' (301) 656-6060 BFG37297 1 A. April 5, 1974. 34 2 Q. And, sir, I'd like to refer you to the 3 middle column of the first page of Key Exhibit No. 5, 4 where it states, "We therefore conclude that the present 5 standard for vinyl chloride should be lowered from a 6 ceiling of 500 parts per million to a ceiling of 50 parts 7 per million for the following reasons: 8 A) In light of the evidence referred to 9 above, including the Maltony experiments demonstrating 10 that vinyl chloride" -- they have it down as VC -- "is 11 carcinogenic in animals at 200 parts per million, we 12 conclude that VC, vinyl chloride, must be considered 13 carcinogenic in man at the same level." 14 Do you see that, sir? 15 MR. GOLDBLATT: Objection to the form. 16 BY MR. WODKA: (RESUMED) 17 Q. Do you see that paragraph? 18 A. Yes. 19 Q. At this time, did NIOSH also agree that 20 vinyl chloride must be considered carcinogenic to man at 21 250 parts per million? 22 MR. GOLDBLATT: Objection to the form. n C': C5 DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG37298 8 1 MS. BOSSE: Objection to the form. 2 MR. WODKA: You can answer. 3 THE WITNESS: Yes, we agreed to 4 subparagraph A, but not to the introduction of that 5 paragraph. 6 BY MR. WODKA: (RESUMED) 7 Q. And what is it about the introduction you 8 did not agree with? 9 A. We did not agree that it should be lowered 10 to a ceiling of 50 parts per million. 11 Q. What did NIOSH recommend with respect to an 12 exposure level? 13 A. If I may go back to the previous exhibit. 14 Q. Yes, sir. 15 A. The second page, bottom paragraph, our 16 objection had to do with the concept that there is no 17 threshold for carcinogens, that for even very low levels 18 of exposure, some cancer can be expected. 19 Under section 20(A)3 of the Act that we 20 were operating under, we could only recommend a safe 21 exposure level. And since we didn't think that any level 22 of exposure was safe, we felt we couldn't go along with Cl >* DERENBERGER & PAGE REPORTING, (301) 656-6060 INC. BFG37299 36 1 the 50 parts per mil?ion. I'm paraphrasing what is in 2 that last paragraph. 3 Hence, we -- our recommended approach was 4 one that required initial monitoring to see what the 5 exposure level was. We decided that one part per million 6 was the lower limit of detection at that time, and that 7 any levels found above that would constitute vinyl 8 chloride exposure, and the persons exposed would have to 9 be suited up and given respirator protection. 10 Q. Let me see if I understand what you're 11 saying. Are you saying that as of April 5, 1974 -- 12 strike that. 13 You're saying that as of March 11, 1974, it 14 was NIOSH's position that any exposures above one parts 15 per million for vinyl chloride, the worker should have 16 separate supplied air to breathe? 17 MS. BOSSE: Objection to the form. 18 MR. GOLDBLATT: Objection to the form. 19 THE WITNESS: There were three transmittals 20 to OSHA -in March from NIOSH. If I may go back to Exhibit 21 No. 5. 22 BY MR. WODKA: (RESUMED) c*0: a DERENBERGER & PAGE REPORTING, (301) 656-6060 INC. BFG37300 o 1 correct? 38 2 A. Yes. 3 Q. Now, sir, this time frame that we have been 4 discussing, January 22, 1974 to April 5, 1974, is less 5 than three months, correct? 6 A. Yes. 7 Q. And by April, 1974, you had been working in 8 the federal government for 18 years, if I understand you? 9 A. Yes. 10 Q. As of April, 1974, had the federal 11 government ever on any prior occasion responded with the 12 issuance of an emergency standard to protect workers in 13 less than three months after the discovery of a new 14 occupational health hazard? 15 A. Not before and not since. 16 Q. Now, sir, I'd like to show you what's been 17 marked as Key Exhibit No. 6. When is the first time you 18 ever saw this document? 19 A. Earlier this year. 20 Q. And Key Exhibit No. 6 bears the date of 21 January 30, 1973? 22 A. Yes. DERENBERGER & PAGE REPORTING, (301) 656-6060 INC. BFG37302 T * 39 1 Q. So the first time you saw it was some 22 2 years later? 3 A. Yes. 4 Q. And, sir, I'd like you to turn to the 5 seventh page of Key Exhibit No. 6. There is a seven at 6 the top of the page. 7 And, sir, do you see it says at the top. 8 "81-week summary, four hours per day, five days per week 9 for 52 weeks?" 10 A. Yes. 11 Q. And do you see a dashed line underneath the 12 column that begins with, or excuse me, underneath the 13 line that begins with "exposure concentration 250"? 14 A. Yes. 15 Q. And do you see also on that line, sir, that 16 it says, "Endothelial angiosarcoma of the liver" and it 17 has a 1? 18 A. Yes. 19 MR. GOLDBLATT: Objection to the form. 20 MR. WODKA: It has "nephroblastoma of the 21 kidney" and it has 2? 22 THE WITNESS: Yes. 6C0T29S2 DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37303 40 1 MR. GOLDBLATT: objection to the form. 2 THE WITNESS: Yes. 3 BY MR. WODKA: (RESUMED) 4 Q. Did you see that, sir? 5 A. Yes. 6 Q. Now, sir, this document, as will be shown 7 in this case, refers to Dr. Maltony's experiments with 8 test animals of vinyl chloride that he had been 9 conducting in 1972. 10 And it will be shown in this case that Key 11 Exhibit No. 6 was presented to representatives of the Dow 12 Chemical Company in January of 1973, and it will also be 13 shown in this case that Key Exhibit_ No. 6 was in the . 14 possession of the Manufacturing Chemists Association and 15 in the possession of representatives of PPG and Shell and 16 Goodyear as of January, 1973. 17 Sir,^if you had been shown this data 18 contained in Key Exhibit No. 6 during your meeting with 19 the Manufacturing Chemists Association in July, 1973, 20 indicating that tumors, specifically angiosarcoma of the 21 liver, had been produced in test animals at 250 parts per 22 million, what if anything would you have done as a O\ -fD DERENBERGER & PAGE REPORTING, i: (301) 656-6060 BFG37304 O 1 result? 41 2 MS. BOSSE: Objection to the form. 3 MR. GOLDBLATT: ObjectlON to the form. 4 MR. WODKA: You can answer. 5 THE WITNESS: I would have moved on two 6 fronts. One, I would have had our toxicologist get 7 together with Maltony to confirm the data, to confirm the 8 protocol. 9 I would have then called a meeting of 10 toxicologists from some of our sister programs, like the 11 National Cancer Institute and the Food and Drug 12 Administration, to see if we could get a consensus among 13 the toxicologists that vinyl chloride's classification 14 should be upgraded from that of an animal carcinogen to a 15 suspected human carcinogen. 16 On the other front, our industrial 17 hygienist would have been making surveys of monomer and 18 polymer plants to see what the levels of exposure were. 19 Having the information from these two 20 activities would be very signficant information for OSHA 21 to become alerted to the possibility of rule making. 22 I would have transmitted this information T t'O TZfFZ DERENBERGER & PAGE REPORTING, (301) 656-6060 INC. BFG37305 42 1 to OSHA. I would have put out a public alert on the 2 potential problem, and I would have begun to look for 3 human cases of cancer among those exposed to vinyl 4 chloride, heavily exposed for a number of years. 5 MR. WODKA: Are the steps that you just 6 outlined similar if not identical to what you did in 7 January, 1974, after your meeting with the 8 representatives of the BF Goodrich Company? 9 MR. GOLDBLATT: Objection to the form. 10 MS. BOSSE: Objection to the form. 11 THE WITNESS: Yes, except that it was not 12 necessary to send somebody over to talk to Professor 13 Maltony. He came over here, I believe, in February of 14 '74 . 15 MR. WODKA: That's all the questions I have 16 right now. Thank you, sir. 17 VIDEO SPECIALIST: We're going off the 18 record. The time on the screen is 11:08:53. 19 BY MR. GOLDBLATT: We're back on the record the 20 time on the screen is 11:16:09. 21 EXAMINATION ON BEHALF OF THE DEFENDANTS 22 BY MR. GOLDBLATT: Z vQ T g O rg DERENBERGER & PAGE REPORTING, (301) 656-6060 INC. BFG37306 1 Q. Good morning. Dr. Key. 43 2 A. Good morning, Mr. Goldblatt. 3 Q. Dr. Key, I want to begin by asking you some 4 background questions and fill in some context to some of 5 the things you've talked about this morning. 6 If at any time you don't understand any of 7 the questions that I ask, will you tell me that so that I 8 can ask the question a different way or try and rephrase 9 it for you? 10 A. Yes. 11 Q. When did you start as director of the newly 12 formed NIOSH? 13 A. January of 1971. 14 Q. Dr. Key,, is it correct that NIOSH had no 15 rule making authority, that is, the authority to 16 establish rules for exposure to chemical substances in 17 the workplace? 18 A. NIOSH had rule making authority certainly 19 under the Federal Coal Mine Health and Safety Act, and 20 NIOSH had rule making authority for respirators used in 21 the workplace, but not for health or safety standards in 22 the workplace. *0 car, N DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37307 44 1 Q. Is it correct, sir, that NIOSH's 2 responsibility was to research and make recommendations 3 for consideration by the Department of Labor? 4 A. Yes. 5 Q. So, then, it is fair to say that as to 6 health and safety standards, NIOSH had no rule making 7 authority; is that right? 8 A. That's right. 9 Q. And the recommendations that NIOSH made did 10 not carry the force and effect of law in the United 11 States unless adopted and approved by the Department of 12 Labor; is that correct? 13 A. That is correct. 14 Q. Now, Dr. Key, I'd like to talk to you for a 15 few minutes about NIOSH's relationship to the Department 16 of Labor and other agencies of the United States 17 Government, okay? * 18 A. Yes. 19 Q. Was NIOSH a part of the Department of 20 Labor? 10 C/: 21 A. No. O 10 h* 22 Q. Was NIOSH a part of the Occupational Safety O DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37308 1 and Health Administration? 45 2 A. No. It was under a different department of 3 government, the Department of Health, Education and 4 Welfare. 5 Q. Is it correct then that NIOSH did not 6 report to either the Department of Labor or to OSHA? 7 A. Correct. 8 Q. NIOSH reported to to an entity within the 9 Department of Health, Education and Welfare; is that 10 correct? 11 A. That's correct. 12 Q. And was that entity the Centers for Disease 13 Control in Atlanta, Georgia? - 14 A. In the latter part of this period, it was. 15 Q. When you say the latter part of this 16 period, what are you referring to. Dr. Key? 17 A. NIOSH has had a checkered history. 18 Initially it was part of a different organization called 19 HSMA, Health Services and something else administration. 20 And then it was freestanding, not under any part of HEW 21 other than the public health service, and finally, and I 22 don't remember the date, maybe the last year that we're dEOIgOS DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG37309 1 talking about here, it was part of the Centers for 46 2 Disease Control in Atlanta. 3 Q.. Was it a part of the Centers for Disease in 4 Atlanta during the period of time that we've been talking 5 about during the deposition today? 6 A. Yes. 7 Q. Are you familiar with a governmental entity 8 called the National Cancer Institute? 9 A. Yes. 10 Q. What is the National Cancer Institute? 11 A. It's one of the institutes within the 12 National Institutes of Health authorized to conduct 13 in-house research and give grants to study the problem of 14 carcinogenesis and to detect earlier cancer in humans. 15 Q. Who was the director of the CDC during this 16 same period of time that you were director of NIOSH? 17 A. David Sensor. 18 Q. Was NIOSH ever a sister entity to either 19 the CDC or the NCI? 20 A. Yes, at one time in the organizational 21 structure within the Public Health Service, NIOSH was at 22 the same level as CDC. DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37310 ft C. c r: H O 05 47 1 Your question also asks about a 2 relationship with NCI. Administrative relations are 3 difficult to compare between one agency and another. i 4 would say that NIOSH was roughly equivalent in 5 organizational structure to the National Cancer 6 Institute. 7 Q. Now, as I understand your testimony, NIOSH 8 intended to fulfill its research and recommendation 9 mission by bringing together information in the form of 10 criteria documents; is that correct? 11 A. That's correct. 12 Q. And when had NIOSH adopted that strategy? 13 A. Earlier on. 14 Q. And what was the purposes of the criteria 15 documents? 16 A. To provide the research background, 17 including data on amimal and human studies, including 18 sampling methods and early detection methods, so it could 19 be transmitted in a package to OSHA for their 20 consideration in rule making. 21 Q. So, was it then an attempt to pull together 22 the available information into one document for DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37311 *0 O O 48 1 presentation to OSHA so that OSHA could perform its 2 governmental function? 3 A. Yes. 4 Q. Now, did you form a committee within NIOSH 5 on research and standards development? 6 A. In NIOSH's organizational structure, I had 7 an office of research and standards development. 8 Q. Was that the office that was responsible 9 for creating these criteria documents? 10 A. Yes. 11 Q. And was it their responsibility to gather 12 the information that you talked about before and pull it 13 together in this fashion? 14 A. Yes. 15 Q. Am I correct that as the director of the 16 institute, that wasn't something that you were personally 17 doing at the time, *was it? 18 A. No, I did hot become involved in the 19 criteria document review until it was almost finished. 20 There was a final stage of director's review and 21 sign-off. 22 Q. Now, as I understand it, at a point in time DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37312 *\3 cn o N O 00 49 1 the committee created a list of different substances that 2 they intended to create criteria documents on, and that 3 also included vinyl chloride; is that correct? 4 A. Yes, except it wasn't a committee. It was 5 this Office of Research and Standards Development. 6 Q. And who headed that office? 7 A. I believe Vernon Rose did at the time of 8 the vinyl chloride problem. 9 Q. What was his position within NIOSH? 10 A. I believe he was an assistant director. 11 Q. Did he have a staff working for him at the 12 time? 13 A. Yes. 14 Q. Who was on that staff? 15 A. These four individuals who attended the 16 July 17, 1973 meeting with MCA, plus a number of others. 17 Q. Tell*me about that. The four individuals 18 who attended the meeting with you, were they all part of 19 this Office of Research and Standards Development under 20 Mr. Rose? 21 A. Yes, I believe they were all in the 22 criteria development branch of that office. O O DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37313 50 1 Q. Now, you told us before that in January of 2 1973, NIOSH published a notice in the Federal Register; 3 is that correct? 4 A. January 30, 1973, yes. 5 Q. What was the purpose of that notice? 6 A. To request information on potential 7 toxicity of some 23 substances and agents that were on 8 our high priority list. 9 Q. You used the word toxicity. Are you using 10 that different from the word cancer or tumor? 11 A. Toxicity is more generic. Cancer you might 12 say is a subset of toxicity, maybe the most severe form 13 of toxicity. 14 Q. So, at the time this notice was published 15 in the Federal Register, I'm correct that NIOSH was 16 studying the toxicity of these 23 substances, not 17 necessarily carcinogenesis of the substances per se; is 18 that right? 19 A. That's right. 20 Q. Now, I'd like you to tell me in as much 21 detail as possible what NIOSH had done as of January 30, 22 1973, to research the toxicity of vinyl chloride? o ro ico r: DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37314 51 1 A. In order to make an evaluation of priority, 2 it was necessary to have reviewed the scientific 3 literature,- animal studies as well as human studies. So 4 in answer to your question, NIOSH had reviewed what was 5 available in the literature. 6 Q. Tell use who did that for NIOSH? 7 A. Someone in the Office of Research and 8 Standards Development. 9 Q. Who? 10 A. I don't know. 11 Q. Tell us when that was done? 12 A. The priority list came out in '72, the 13 Federal Register request came out in January of '73. I 14 would say sometime the end of '72 or early '73. 15 Q. So, as of that time, it's your testimony 16 that NIOSH had looked at the available scientific 17 literature that you just described; is that right, sir? 18 A. Yes. 19 Q. Where was that information kept at NIOSH? 20 A. I suppose the files of that office. 21 Q. You used the word "suppose." Do you know, 22 sir? DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37315 cn o >* O C: 1 A. No. 52 2 Q. Now, in preparation for the July 17, 1973 3 meeting with the representatives of the MCA, did you 4 review the materials that NIOSH had garnered earlier? 5 A. No. But as an occupational health 6 professional, I had firsthand experience with some of the 7 problems with vinyl chloride, and I was reasonably 8 familiar with the literature. But no, 1 did not 9 specifically review it in preparation for the meeting. 10 Q. It's correct, sir, that during the 1960's 11 you had some firsthand experience with the disease known 12 as acroosteolysis; is that correct? 13 A. That's correct. 14 Q. In fact, you had been in the BF Goodrich 15 Louisville facilities during the 1960's; is that correct, 16 sir? 17 A. Thatfcs correct, and stuck my head down 18 inside one of the reactors while they were cleaning it. 19 Q. As a result of or during the course of that 20 effort, sir, did you then have occasion to become 21 familiar with the then existing body of scientific 22 literature on vinyl chloride? 10 C/; n cO: to DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37316 1 A. Yes. 53 2 Q. Would you tell me, sir, what time frame are 3 you talking about? 4 MR. WODKA: I'm going to object to what 5 time. I thought you said in the 1960's. 6 BY MR. GOLDBLATT: (RESUMED) 7 Q. Can you be more specific as to the 1960's, 8 sir? 9 A. No, but it would be easy to verify that by 10 looking at the reports on acroosteolysis when they were 11 published. I don't remember. 12 Q. Now, as of January 31, 1973, when the 13 notice was placed in the Federal Register, had any one 14 person within NIOSH been given specific responsibility 15 for developing the vinyl chloride criteria document? 16 MR. WODKA: Objection. I think it was 17 January 30, 1973. - 18 MR. GOLDBLATT: I'm sorry, January 30, 19 1973. Thank you, Mr. Wodka. 20 THE WITNESS: No, because there had been no ro :i 21 decision that we should go forward with the criteria 22 documents at that time. D1>%: DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37317 54 1 BY MR. GOLDLBATT: (RESUMED) 2 Q. So as of January 30, 1973, when the notice 3 was published, no decision had been made by NIOSH to 4 proceed with a criteria document; is that correct? 5 A. That's correct. 6 Q. Was NIOSH then in the information 7 collecting stage, if you will? 8 A. Yes. That's why we published the request 9 in the Federal Register. We were collecting information 10 that we weren't able to garner. 11 Q. What type of information were you 12 requesting that you weren't able to garner? 13 A. I believe the request-was information on 14 potential toxicity of these 23 substances and agents. 15 Q. Who is the Federal Register directed to? 16 A. The short answer is the public. I realize 17 the public doesn't'read it. It's too much to ask for 18 anybody. But the Federal Register is monitored closely 19 by industry, probably by organized labor, by academic 20 institutions and other federal agencies and Congress. 21 Q. Did NIOSH publish the request for 22 information in any other form? DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37318 1 A. I don't think so. 55 2 Q. Dr. Key, would you agree with me that the 3 notice in the Federal Register was an invitation for 4 interested persons possessing information about these 23 5 substances to share that information with NIOSH? 6 A. Yes. 7 Q. Am I correct, sir, that there was nothing 8 compulsory or mandatory about the requst? 9 A. That's correct. 10 Q. It did not carry the force of law, did it? 11 A. No. 12 Q. So whatever information was provided in 13 response to it was provided voluntarily by interested 14 persons; is that right? 15 A. That is right. 16 Q. And any of those persons could have 17 included academia,.industry, government, or organized 18 labor; is that right? 19 A. Yes. 20 Q. Now, Dr. Key, did NIOSH receive a letter of 21 response to the notice in the Federal Register? 22 A. No. There are only three responses prior err O N h* O c: C/7 DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37319 56 1 to the July meeting with MCA. One came from MCA, one 2 came from a mine safety organization, and the third came 3 from an industrial hygiene organization. 4 Q. And you're speaking specifically with 5 reference to vinyl chloride; is that right? 6 A. That's right.' 7 Q. Was the response similar with respect to 8 the other 22 substances that were referred to in the 9 Federal Register? 10 A. The response was disappointingly meager. 11 Q. Dr. Key, is it correct that the request by 12 MCA for a meeting with NIOSH about vinyl chloride was the 13 first request that NIOSH had ever received? 14 A. To the best of my memory, yes. 15 Q. And was this the first time that an 16 industry had come forward and asked for a meeting with 17 the government and~said we want to share with you 18 information about ongoing research and planned research? 19 MR. WODKA: Objection to the form. 20 THE WITNESS: I believe it was. 21 MR. GOLDBLATT: Did you consider that 22 extraordinary at the time? 10 CX ) iO b ________________________________________________________________________________________________t: ---- 5f5 DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37320 1 MR. WODKA: Objection. 57 2 THE WITNESS: Well, we had put out a 3 request in the Federal Register in January of '73, and 4 here it was July we were hearing about European and U.s. 5 studies. 6 You asked was it extraordinary? I think it 7 could be expected as a result of the Federal Register 8 request, but it was gratifying to see an industry group 9 come forward. 10 BY MR. GOLDLBATT: (RESUMED) 11 Q. And you expressed that gratitude to the 12 representatives who came to meet with you on July 17, 13 didn't you, sir? 14 A. I believe I did. 15 Q. Now, Dr. Key, in and around this time in 16 1973, there were other governmental agencies that were 17 interested in vinyl chloride; is that right, sir? 18 A. Yes. 19 Q. And in fact NIOSH was not the only 20 governmental agency that was looking at the toxicity of 21 vinyl chloride, was it? 22 A. Other government agencies were interested DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37321 58 1 in it. I believe FDA was the only one that was looking 2 into the toxicity of it because of the -- PVC was used as 3 a container for distilled spirits. 4 Q. Was NIOSH working with FDA in that regard? 5 A. Not until we realized it was a suspect 6 human carcinogen. 7 Q. You are aware, sir, that in 1973, the 8 National Cancer Institute was also collecting information 9 about vinyl chloride, aren't you, sir? 10 A. I didn't realize it in '73. It was not 11 until '74 that I realized they had an interest in vinyl 12 chloride. 13 Q. When in 1974 did you -first realize that, 14 sir? 15 A. I don't recall when. It was probably at 16 one of the Congressional hearings on the subject when Dr. 17 Saffioti testified*: 18 Q. Who is Dr. Saffioti? 19 A. A well known toxicologist from the National 20 Cancer Institute with an expertise in carcinogenesis. 21 Q. What position did he hold at this time? 22 A. I don't know. He was certainly a high DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37322 *0 Cfl 8 O 0c?9 1 level official within the Cancer Institute. 59 2 Q. Did there come a time, sir, that you 3 learned that Dr. Saffioti and members of his staff at the 4 National Cancer Institute had been working on a monograph 5 on vinyl chloride in 1973, that was scheduled for 6 publication by the International Agency for Research on 7 Cancer? 8 MR. WODKA: Objection. 9 THE WITNESS: I believe I learned about 10 that at the same Congressional hearing at which Saffioti 11 testified. 12 BY MR. GOLDBLATT: (RESUMED) 13 Q. Is this the Congressional hearing that 14 occurred in July of 1974 that was conducted by Senator 15 Tunney's committee? 16 A. Yes. 17 Q. And are you telling us that it was at that 18 Congressional hearing when you heard Mr. Saffioti testify 19 that you first learned that his agency had been involved 20 with vinyl chloride and carcinogenesis the preceding 21 year? 22 A. I believe that was my first knowledge. DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37323 60 1 Q. What is the International Agency for 2 Research on Cancer, sir? 3 A. It is an agency under the jurisdiction of 4 the World Health Organization located in Lion, France, 5 charged with developing consensus documents as to the 6 classification of carcinogens by bringing together 7 experts who have been studying the particular problem, 8 the particular substance, called a panel. 9 Q. So those panels were focusing in on the 10 carcinogenesis of substances; is that right, sir? 11 A. That's correct. 12 Q. Did NIOSH participate in any IARC 13 activities during 1973? 14 A. No, but I believe the following year when 15 IARC held a panel on vinyl chloride, a representative 16 from NIOSH as well as CDC attended. 17 Q. Are you aware of any other governmental 18 entities besides Dr. Saffioti's that was involved in IARC 19 activities on vinyl chloride during 1973? 20 A. I believe the National Institute of 21 Environmental Health Sciences, which is also one of the 22 institutes within the National Institutes of Health, had N5 O 0 ik P O' DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37324 61 1 a representative at that IARC panel. It could have been 2 its director, David Rawl. 3 Q. During 1973, did NIOSH contribute to the 4 monograph that IARC was working on with respect to vinyl 5 chloride? 6 MR. WODKA: Objection. 7 THE WITNESS: '73, no. We didn't know 8 about it. 9 BY MR. GOLDBLATT: (RESUMED) 10 Q. In 1973, you had no knowledge that the 11 National Cancer Institute was working on a monograph on 12 vinyl chloride for IARC; is that correct, sir? 13 A. No, no knowledge. 14 Q. In fact, sir, did you know that 15 Dr. Saffioti was the chairman of the committee that was 16 responsible for peer reviewing that monograph on vinyl 17 chloride? 18 MR. WODKA: Objection. 19 THE WITNESS: No. 20 BY MR. GOLDBLATT: (RESUMED) iO 21 Q. Sir, you also learned at the time of this Cs 22 Congressional hearing in 1974, that Dr. Saffioti had TT DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG37325 62 1 attended an international symposium on cancer detection 2 that was organized by Professor Maltony in Bologna, 3 Italy, in April of 1973; is that right, sir? 4 A. Yes. 5 Q. Was that the first time that you learned 6 that Dr. Saffioti had been to that symposium? 7 A. At the Congressional hearing. 8 Q. And did you also learn, sir, that 9 Dr. Saffioti had attended a presentation by Professor 10 Maltony on carcinogenesis of substances including vinyl 11 chloride? 12 A. Yes. 13 Q. And did you also learn that at that same 14 time in April, 1973, in conjunction with that symposium. 15 Dr. saffioti had toured Professor Maltony's laboratory at 16 which the vinyl chloride research was being conducted? 17 MR. W0DKA: Objection. What time? 18 MR. GOLDBLATT: April, 1973. 19 MR. W0DKA: Your question was what time did 20 he learn. 21 MR. GOLDBLATT: Let me restate the 22 question. o w p DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37326 T- 1 BY MR. GOLDBLATT: (RESUMED) 63 2 Q. Did you first learn during the 3 Congressional hearing, that in April of 1973, in 4 conjunction with that symposium. Dr. Saffioti had visited 5 and toured Professor Maltony's laboratory? 6 A. Yes. 7 Q. And he had seen the setup that was used for 8 the vinyl chloride studies that Professor Maltony was 9 then performing? 10 A. Would you repeat that question, please? 11 Q. During the Congressional hearing, you 12 learned for the first time that in April of 1973, several 13 months before the July, 17, 1973 meeting with the MCA 14 representatives. Dr. Saffioti of the National Cancer 15 Institute, had seen the laboratory and the setup that 16 Professor Maltony was using for the study, right? 17 A. Yes. 18 Q. In response to the notice in the Federal 19 Register published by NIOSH, did your agency receive any i 20 information whatsoever from the National Cancer 21 Institute? 22 A. No. Ic s o T z a ra DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37327 64 1 Q. At any time during 1973, did members of 2 your staff contact any of the other government entities 3 that were involved with vinyl chloride to find out what 4 information they had? 5 A. I don't think so. 6 MR. WODKA: Are you done? 7 MR. GOLDBLATT: I'm sorry, are you finished 8 with your answer? 9 THE WITNESS: No. NIOSH did have some kind 10 of liaison with the National Cancer Institute, the 11 details of which I cannot recall. I can't recall who it 12 was at NIOSH and who it was at the Cancer Institute. 13 There were contacts, but I can't say that any occurred on 14 the subject of vinyl chloride in '73. 15 BY MR. GOLDBLATT: (RESUMED) 16 Q. Dr. Key, wasn't it Dr. Saffioti who was the 17 primary liaison between NIOSH and NCI? 18 A. I think so, but I can't be sure. 19 Q. At any time during 1973, did Dr. Saffioti 20 or the National Cancer Institute brief members of NIOSH c\ 21 on the status of Maltony's research or any of the data V C-1 .ft 22 that he had generated or the results that he had observed <- ----------------- ---------------------------------------- --------------------------------------------------------------------------------------------------- DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37328 65 1 concerning tumors in the species that he was testing? 2 A. No. 3 Q. Dr. Key, do you agree with me, sir, that it 4 is quite possible that Dr. Saffioti was well aware of 5 Professor Maltony's results long before you were? 6 MR. WODKA: Objection. 7 THE WITNESS: Is that speculation? 8 MR. WODKA: That's why I objected. 9 THE WITNESS: Do you want me to answer it? 10 MR. GOLDBLATT: Can you answer it. Doctor? 11 MR. WODKA: Objection. 12 THE WITNESS: No. 13 BY MR. GOLDBLATT: (RESUMED) 14 Q. Have you ever talked to Dr. Saffioti about 15 this subject? 16 A. I've talked to Dr. Saffioti. I can't 17 recall where or when or about the subject matter. 18 Q. After the -- 19 A. I mean, we were both together at the 20 hearing. 21 Q. I want to know whether you talked about 22 this subject with Dr. Saffioti before the Congressional eiO/r DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG37329 66 1 hearing, sir. Did you? 2 A. No. 3 Q.- Am I correct, sir, that on February l, 4 1974, NIOSH and CDC conducted a joint briefing of other 5 governmental agencies on vinyl chloride? 6 A. Yes. 7 Q. And this was after you had the meeting with 8 the BF Goodrich representatives concerning the discovery 9 of the angiosarcoma of the liver cases in their plant, 10 right? 11 A. Yes. 12 Q. And was Dr. Saffioti present at that 13 briefing? 14 A. I don't recall. 15 Q. Were you present at that briefing? 16 A. Yes. 17 Q. Who arranged the briefing? 18 A. NIOSH did. 19 Q. What was the purpose of the briefing? 20 A. To brief other federal agencies with 21 enforcement regulatory responsibility in this field as to s? 22 the findings thus far on vinyl chloride. DERENBERGER & PAGE REPORTING, IN (301) 656-6060 BFG37330 & 67 1 Q. Was it also to get together with them and 2 share information and gain the benefit of their thinking 3 concerning the available information? 4 A- Yes, a two-way street. 5 Q. Was that a day-long briefing? 6 A. I don't recall how long it took. It was 7 all done within a day. 8 Q. At any time during the course of that 9 briefing, did any of the members of the National Cancer 10 Institute that were present brief NIOSH on what NCI had 11 known about the status of Professor Maltony's work during 12 1973? 13 A. I don't believe so. ~ 14 Q. Did you ask whether any of the other 15 governmental agencies had any information about this that 16 predated NIOSH's? 17 A. I don't recall, but since it was a two-way 18 street, we probably did. 19 Q. Who did? 20 A. The person conducting the meeting. 21 Q. Who was that? Wo 22 A. Probably myself. DERENBERGER & PAGE REPORTING, IN N o cr <1 (301) 656-6060 BFG37331 1 Q. You used the word probably. 68 2 A. I don't -- 3 Q. Are you telling us that you did that or are 4 you telling us you don't.know? What is it you're trying 5 to tell us, doctor? Did you ask him that or not, do you 6 know? 7 A. I don't know. 8 Q. After you heard Dr. Saffioti's testimony 9 before Congress, did you then ask him -- 10 A. No. 11 Q. -- why they hadn't brought to NIOSH's 12 attention the information that they had in 1973? 13 A. No. 14 MR. WODKA: Objection to form. 15 THE WITNESS: Would you like to know why? 16 BY MR. GOLDBLATT: (RESUMED) 17 Q. You mentioned another entity, the National 18 Institute for Environment, Health and Sciences; is that 19 correct? 20 A. Environmental Health Sciences. 21 Q. Who was the head of that group? JO cn o 22 A. David Rawl. o DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG37332 CO Q. What is his background? 69 A. Toxicologist, and I believe also a physician. Q. Do you know a Hr. Craybill (phonetic)? A. Herman Craybill, Food and Drug Administration, yes. Q. What was his position at this time? A. One of the leading toxicologists within the Food and Drug Administration. Q. Were Rawl and Craybill people that you would look to for information about the toxicology of particular substances? A. Yes. Q. Dr. Key, I'd like to talk to you now about the July 17, 1973 meeting in some more detail. Okay? Do you recall who made the arrangements for that meeting? A. I believe George best, MCA's managing director, made the arrangements through Ed Bair, my deputy. Q. time? What was Ed Bair's role at NIOSH at the DERENBERGER & PAGE REPORTING, INC (301) 656-6060 ft) Cm O w K* O o CO 70 1 A. He ran the institute when I wasn't there. 2 Q- He was your second in command? 3 A. Second in command. 4 Q. What was his background? 5 A. Industrial hygiene at the state level in 6 Pennsylvania 7 Q. Did you yourself have any conversation with 8 Mr. Best about this meeting? 9 A. He called just before the meeting to make 10 sure I would be there. 11 Q. Do you recall that conversation? 12 A. Only that I said I'd be there. 13 Q. Was there a question-about whether you ' 14 would be there or not? 15 A. There wasn't in my mind. There was 16 probably in his, because Bair had-- he had made the 17 arrangements through Ed Bair. 18 Q. Had your personal attendance been requested 19 by the MCA? 20 A. Yes. 21 Q. Do you know why that is? *0 o 22 A. I can hazard a guess. These were high O* o DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37334 71 1 level people being brought, and high level people deserve 2 a meeting with high level people within NIOSH. 3 Duffield crossed the ocean for that 4 meeting. And from a protocol point of view, it wouldn't 5 have been right to have them meet with a branch chief or 6 someone farther down the line. 7 Q. Was Dr. Christiansen involved in the 8 arrangements for the meeting? 9 A. I remember Herb Christiansen well, another 10 very good toxicologist on our staff. I don't recall what 11 his role was. 12 Q. Who decided who would be present for NIOSH? 13 A. I don't recall that.- 14 Q. Did you select the NIOSH representatives? 15 A. I don't recall that. 16 Q. Do you know why Mr. Rose was not present? 17 A. I don't know. 18 Q. What was Dr. Mitchell's background? 19 A. Mitchell is a physician who had, I believe, 20 been an anesthesiologist originally and had gone over 21 into the specialty of occupational medicine. 22 Q. How long had he been with you at NIOSH or 13 C-J o 0 o DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG37335 72 any of the predecessor entities in government that you were with? Well, in /73 NIOSH was only a couple of 4 years old. It must have been a year or two. 5 Q. Was Dr. Lassiter a toxicologist? 6 A. Was and is, yes. 7 Q. What was Keith Jacobson's background? 8 A. Also a toxicologist. 9 Q. What was Richard James's background? 10 A. I don't recall. 11 Q. Were Mr. Bair or Mr. Christiansen present 12 for any part of the meeting? 13 A. Not to my knowledge._ 14 Q. What if anything did NIOSH do to prepare 15 for the meeting? 16 A. Other than making sure the conference room 17 was in order, I don't know of anything. 18 Q. Was there any premeeting meeting at NIOSH? 19 A. No. 20 Q. Did you reguest that any members of the 21 staff brief you on vinyl chloride before the meeting? 22 A. No. c l\ DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37336 73 1 Q. Did you make any inquiry of your staff as 2 to what the status of the vinyl chloride literature was 3 as of that time? 4 A. No. 5 Q. Did NIOSH contact any other government 6 agencies that might have had an interest in this subject 7 matter and request their presence at the meeting? 8 A. No. 9 Q. As of the time of this meeting, had a 10 decision been made by NIOSH to go forward with a vinyl 11 chloride criteria document? 12 A. No. 13 Q. Was there a timetable for creating a vinyl 14 chloride criteria document as of this meeting? 15 A. In July of '73, we did have timetables for 16 criteria documents. I don't know whether vinyl chloride 17 was listed on the timetable of July of '73. It would be 18 easy enough to ascertain. 19 NIOSH was frequently asked by Congress as 20 well as OSHA when are you going to come out with your 21 next criteria document and how many are going to come out 22 during the year. We were being measured by our output. DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG37337 !* OT CJ 74 1 Q. You told us before that you were familiar 2 with several of the representatives of MCA and industry 3 that came to NIOSH on that day; is that right? 4 A Yes 5 Q. You knew Mr. Best and Mr. Rowe and Mr 6 Duffield; is that right? 7 A. That was the first time I met Dr. Duffield. 8 I had known Best and Rowe previously. 9 Q. Did you consider them to be knowledgeable 10 men in their fields? 11 A. Yes. 12 Q. Did you consider them to be well respected 13 in their fields? 14 A Yes 15 Q. And did you subsequently get to know Dr. 16 Duffield better? 17 A. Yes.. He made other visits to the States 18 Q. Had you known Mr. Wheeler or Mr. Rhinehart 19 earlier? 20 A. I don't believe so 21 Q. Now, am I correct. Doctor, that this 22 meeting began at about 1:00, PM? DERENBERGER & PAGE REPORTING, II (301) 656-6060 BFG37338 75 1 A. I think it began after lunch and lasted a 2 couple of hours. 3 Q. How many hours? 4 A. I said a couple. 5 Q. Do you mean two? Do you mean three? 6 A. Approximately two. 7 Q. And were you present throughout that two 8 9 A. Yes. 10 Q. Was there any point in time other than a 11 breek or something like that that the meeting went on 12 outside of your presence? 13 A. No. 14 Q. Was there one meeting or more than one 15 meeting that afternoon? 16 A. Only one meeting with the MCA 17 representatives. 18 Q. Dr. Key, do you have any recollection 19 of a second meeting in your office between you. 20 Dr. Christiansen and Mr. Bair and the MCA 21 representatives? 22 A. I remember VK Rowe Stayed on after the S tJO tZ O Z Z DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG37339 76 1 meeting, after the MCA meeting, but I don't recall for 2 what purpose or who else was there. 3 Q. Did you have a separate meeting with Dr. 4 Rowe on that day? 5 A. That's the one we were just talking about 6 when he stayed on after the meeting. 7 Q. Did he stay on and meet with you is what 8 I'm asking? 9 A. Yes. 10 Q. How long was that meeting? 11 A. I don't know. 12 Q. Do you recall what was said during that 13 meeting? 14 A. No, I don't. 15 Q. No recollection about what was discussed? 16 A. No recollection. 17 Q. Dr. Key, were you aware of any concerns 18 expressed by the European representatives about the 19 confidentiality of their research? 20 MR. WODKA: Where, at the meeting? 21 MR. GOLDBLATT: At or before the meeting in 22 July of 1973. N5 Vi D V DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37340 77 1 THE WITNESS: Certainly not before the 2 meeting. During the meeting, Duffield had mentioned that 3 the European second order research was being sponsored by 4 a group of European countries, but I don't remember 5 anything about the confidentiality agreement that these 6 companies may have had. 7 BY MR. GOLDBLATT: (RESUMED) 8 Q. Was it your understanding that the European 9 countries were the sponsors of the second stage or order 10 study that you referred to? 11 A. Yes. 12 Q. And that is the study that you say you 13 first learned from the BF Goodrich-people in January of 14 1974 was being done by Professor Maltony; is that right? 15 A. Yes. . 16 Q. So you understood that the MCA and the US 17 representatives that were there were not sponsors of that 18 European research; is that right? 19 A. That's right. 20 Q. And you understood that that is why Dr. 21 Duffield was coming over from Europe, to brief N10SH 22 about that work; is that right? DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG37341 v V! 1 A. Yes. 78 2 Q. Do you know what if anything the MCA had to 3 do in order to arrange for the European representatives 4 to come to the U.S. to brief NIOSH? 5 A. No. 6 MR. GOLDBLATT: Let's take a short break. 7 VIDEO SPECIALIST: We're going off the 8 record. The time on the screen is 12:07:43 9 (Brief recess taken) 10 VIDEO SPECIALIST: This is videotape No. 2, 11 the continuation of the deposition of Dr. Key. Today is 12 September 19, 1995. The time on the screen is 12:20:37. 13 On the record. 14 BY MR. GOLDBLATT: (RESUMED) 15 Q. Dr. Key, you did not make any notes at the 16 July 17, 1973 meeting; is that correct? 17 A. Correct. 18 Q. It was not your practice to take notes at 19 meetings unless you had something that you needed to 20 follow up on; is that right, sir? 21 A. Yes. 22 Q. Would it be fair to say that during this DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37342 N U: o ^T 'CD 79 1 period of time in your tenure as director of NIOSH, you 2 were attending many meetings during each week? 3 A. Yes. 4 Q. Now, is it correct, sir, that no one from 5 the NIOSH group was given the specific responsibility of 6 taking notes for the group; is that right, sir? 7 A. I knew that notes were being taken by 8 Lassiter and Mitchell. I don't recall who gave them that 9 responsibility. 10 Q. Well, my question is, was it a 11 responsibility that you say you gave to someone or did 12 you leave it up to the practice of the individuals 13 whether to take notes or not take notes? 14 A. I don't recall. 15 Q. Is it fair to say that you don't recall 16 whether any notes were made by Mr. James or Mr. 17 Lassiter? 18 A. I don't recall. 19 Q. And is it also correct, sir, that no one 20 from NIOSH prepared a contemporaneous memoranda of what 21 was discussed at this meeting? 22 A. Correct. DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37343 . O M H* O -J CO > 80 1 Q. The only memoranda that was prepared was 2 the one that was created by Mr. Jacobson nearly a year 3 later; is that right, sir? 4 A. Correct. 5 Q. And that memo has been marked as Deposition 6 Exhibit No. 2; is that right, sir? 7 A. Correct. 8 Q. The meeting was July 17, 1973; is that 9 right, sir? 10 A. Correct. 11 Q. Mr. Jacobson's memo is dated May 24, 1974; 12 is that correct, sir? 13 A. Correct. 14 Q. Are you telling us, sir, that it was the 15 regular practice of NIOSH to prepare memos of meetings 16 nearly a year after the meeting had occurred? 17 A. No, I'm not telling you that. 18 Q. The memo that Jacobson prepared. Exhibit 2, 19 was prepared at your specific instance and request nearly 20 a year after the meeting, right? 21 A. Correct. O' 22 Q. After the meeting, was there any effort by e DERENBERGER & PAGE REPORTING, IN' (301) 656-6060 BFG37344 o 0} o 1 NIOSH to brief any other governmental agencies? 81 2 A. No. 3 Q. Was there any follow-up research conducted 4 by NIOSH? 5 A. No. 6 Q. During the course of the meeting, there was 7 reference to the study conducted by Professor Viola; is 8 that right? 9 A. 10 Q. Yes. You do recall that discussion, right? 11 A. Yes. 12 Q. Following the meeting, did you review 13 Professor Viola's article? 14 A. No. 15 Q. Did you ask anyone on your staff to get it 16 for you? 17 A. I don't recall. 18 Q. Did you assign anyone on your staff 19 responsibility to do any follow-up research with respect 20 to the matters that were discussed at that meeting? 21 A. No. 22 Q. I'd like to talk to you now in a little ZS021081 DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37345 82 1 more detail about exactly what was discussed at the 2 meeting. Okay? 3 A. Fine. 4 Q. Do you recall, sir, that at the outset of 5 the meeting, NIOSH was advised that Dr. Gorlonda from 6 Italy had been unable to attend? 7 A. Yes. 8 Q. Who was Dr. Gorlonda? 9 A. Mount Edison (phonetic) toxicologist. 10 Q. Did you understand that his company was 11 also one of the sponsors of Professor Maltony's study? 12 A. Yes. 13 Q. And you understood that he had intended to 14 be present at the meeting but was unable; is that right? 15 A. Yes. 16 Q. Who was the first speaker at the meeting? 17 A. .VK Rowe was the spokesman for MCA. He 18 introduced Duffield. 19 Q. And Duffield was the spokesman with respec 20 to the European work; is that right? 21 A. That's right. 22 Q. And do you recall what Dr. Rowe spoke DERENBERGER & PAGE REPORTING, I (301) 656-6060 BFG37346 *0 G G N H4 O -Qd 1 about? 83 2 A. The latter part of the meeting he spoke 3 about MCA's plan to do a toxicity study and an 4 epidemiologic study. 5 Q. What about at the early part of the 6 meeting? 7 A. I don't remember what he said at the early 8 part of the meeting other than indtroducing Duffield. 9 Oh, yes, I think he reviewed the limits for vinyl 10 chloride up to that time. 11 Q. Do you recall Dr. Rowe outlining the 12 background for the investigative program and the 13 magnitude of the vinyl chloride and poly vinyl chloride 14 industries? 15 A. I do now. 16 Q. Does that refresh your recollection, sir? 17 A. Yes. 18 Q. You do recall Dr. Rowe briefing NIOSH about 19 that subject, right? * 20 A. Yes. 21 Q. By the way, sir, you gave us some figures 22 before on the number of workers on the monomer and in the 25G31033 DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37347 84 1 polymerization portion of the industry. Do you recall 2 that testimony? 3 A. Yes. 4 Q. How many companies, separate companies, 5 were involved in production of vinyl chloride monomer? 6 A. I think it was on the order of six or 7 seven. 8 Q. A fairly limited group then of producers of 9 monomer; is that correct? 10 A. That's correct. 11 Q. How large was the group of companies that 12 were engaged in polymerization of monomer into poly vinyl 13 chloride? 14 A. On the order of 13 to 15. 15 Q. Also a fairly small group of companies? 16 A. Yes. 17 Q. And did you recognize them as all major 18 U.S. companies? 19 A. Yes. 20 Q. All with their own medical, industrial 21 hygiene and toxicology staffs? 22 MS. BOSSE: I object to the form. S> V; O DERENBERGER & PAGE REPORTING, T,`TO (301) 656-6060 BFG37348 o Q? 85 1 THE WITNESS: I don't know whether they all 2 had it, but the vast majority of them had both hygiene as 3 well as medical staff. 4 MR. GOLDBLATT: Did you recognize them as 5 sophisticated users and producers of chemical and other 6 products? 7 MS. BOSSE: Objection to the form. 8 MR. WODKA: Objection. 9 THE WITNESS: When you object, do I still 10 have to answer? 11 MR. GOLDBLATT: When they object, they are 12 objecting for purposes of noting on the record so the 13 judge can make a ruling at a later time. But as with Mr. 14 Wodka's questions and any objections made at that time, 15 you are still obliged to give an answer. 16 Can you answer that question? 17 THE WITNESS: Would you repeat the 18 question? 19 MR. GOLDBLATT: What I'm trying to 20 understand is, did you recognize these companies as all being knowledgeable and sophisticated companies when it ^ 21 22 came to medical and toxicological information about their^ DERENBERGER & PAGE REPORTING, (301) 656-6060 INC. BFG37349 J ce u\ 86 1 products? 2 MS. BOSSE: Objection to the form. 3 MR. WODKA: Objection. 4 THE WITNESS: Yes. 5 MR. GOLDBLATT: Did Dr. Rowe then proceed 6 to discuss a number of scientific papers including papers 7 on the documentation of threshold limit values? 8 MR. WODKA: Objection. Why don't you ask 9 him exactly what, you know, instead of characterizing. 10 MR. GOLDBLATT: Mr. Wodka, with all due 11 respect, if you have an objection to the form, I would 12 ask you to do what everyone else has done during your 13 examination, and note your objection for the record. 14 I certainly did not, despite having lots of 15 opportunity to do so, characterize in any way how you 16 should ask a question. 17 MR. WODKA: We obviously have a witness 18 here who is not familiar with the deposition process. 19 BY MR. GOLDBLATT: (RESUMED) 20 Q. Dr. Key, do you have the question in mind? 21 A. Would you mind repeating it? 22 Q. Not at all, sir. 9 8 0 lfe e ^ DERENBERGER & PAGE REPORTING, INC(301) 656-6060 BFG37350 87 1 Do you remember Dr- Rowe discussing the 2 subject of threshold limit values for vinyl chloride? 3 A. Yes. 4 Q. Do you recall Dr. Rowe discussing HCA/s 5 role in administering a scientific study of 6 acroosteolysis in the 1960's? 7 A. Yes. 8 Q. Do you recall Dr. Rowe talking about MCA's 9 role in arranging consultation meetings in 1971 with 10 Professor Viola about his studies? 11 A. No. 12 Q. Do you recall Dr. Rowe discussing Professor 13 Viola's study at all? 14 A. No. It was Duffield who discussed the 15 study. 16 Q. Is it your best recollection that it's Dr. 17 Duffield who discussed Professor Viola's 1970-1971 study 18 and not Mr. Rowe or any of the other members of the MCA 19 group? Is that your best recollection? 20 A. I agree with the first part of your 21 question, that it was Duffield who discussed it. I can't 22 say that others didn't also discuss it, but I don't c<; o DERENBERGER & PAGE REPORTING, (301) 656-6060 INC. BFG37351 O 03 1 recall them having done so. 88 2 Q. Do you recall Dr. Rowe telling the group 3 that the MCA's research program had been held up in order 4 to gain information about the European research? 5 A. Yes. 6 Q. Do you recall Dr. Duffield beginning his 7 presentation by talking about a post examination of the 8 histologic specimens from Dr. Viola's work? 9 A. Yes. 10 Q. You do recall that discussion in some 11 detail; is that right, Doctor? 12 A. Yes. 13 Q. And do you recall that there was a question 14 about some of the conclusions that Professor Viola had 15 reported in 1971 about his 1970 study? 16 A. Yes. 17 Q. And there was some question about whether 18 the cancers or tumors that he had observed were primary 19 tumors or were metastasis from another part of the body; 20 is that right? 21 A. Correct. 22 Q. And you were advised by Dr. Duffield that DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37352 89 1 they had taken another look at Professor Viola's research 2 and reached different conclusions; is that right? 3 A. Taking another look at his research as well 4 as the tissue -- as well as the slides from the tissues 5 that were affected, and had come do a different 6 conclusion. 7 Q. Would you agree with me, Dr. Key, that it's 8 good science to reexamine results that are reported that 9 are considered unusual or new or different? 10 A. Oh, yes. 11 Q. Do you recall Dr. Duffield reminding the 12 group of the purpose of Dr. Viola's research? 13 A. Yes. 14 Q. And do you recall what that was? 15 A. To find an animal model for production of 16 acroosteolysis. 17 Q. You do recall him saying that? 18 A. Yes. 19 Q. Do you recall Dr. Duffield explaining that 20 the European program was directed both to epidemiology 21 and animal testing? 22 A. Yes. DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG37353 ;; o ? *1 & o Q? 90 1 Q. Do you recall that he reported.on the 2 preliminary results of ICl's epidemiology work? 3 A. Yes. 4 Q. What do you recall him reporting about 5 that? 6 A. It was early on. The study had not been 7 completed. They were looking for excess cancer among the 8 exposed population. And thus far it looked good, which I 9 interpreted to mean they weren't finding any excess 10 cancer. 11 Q. Did you interpret that to mean that the 12 epidemiology work was not confirmatory of the animal work 13 at that point in time? 14 A. Was not confirmatory of the animal work at 15 the time. That is a funny question. I have to think 16 about that. Neither one was complete. Both of these 17 studies were in prom gress. And you couldn't use an 18 in-progress study to confirm or deny another in-progress 19 study, at least I couldn't. 20 Q. So you would want to wait until the studies 21 were complete and you had the final data before reaching 22 a conclusion on whether or not -- iO 0 1v DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 O 1 A. Or nearly complete. 91 2 Q. Now, what is epidemiology, sir? 3 A. It's the study of exposed populations to 4 ascertain the excess of certain conditions or 5 characteristics that are not present in a controlled 6 population. 7 Q. And when you say study populations, you're 8 studying human beings, right, Doctor? 9 A. Yes. 10 Q. You're looking for the incidence of a 11 certain disease in a particular population as compared to 12 you say a controlled population? 13 A. Or the general public-. 14 Q. Is that right? 15 A. Yes. 16 Q. What is the animal or toxicology kinds of 17 studies that you've been talking about this morning? How 18 does that differ from epidemiology? 19 A. Well, the same principle applies in that 20 there is an exposed population of animals and a control 21 group of animals who are not exposed. And similar 22 statistical methods are used to determine if there is an T60T2STZ DERENBERGER & PAGE REPORTING, IN' (301) 656-6060 BFG37355 92 1 excess of cancer in exposed versus nonexposed, but one is 2 done in the laboratory usually in exposure chambers. 3 That's the animal study. But epi studies are done in the 4 real world. 5 Q. Now, when you refer to the toxicology 6 studies, we're talking about the administration of a 7 particular substance to an animal species in an attempt 8 to study whether it produces a certain disease; is that 9 right? 10 A. Yes. 11 Q. Now, is it good science, sir, to conduct 12 both toxicology studies and epidemiology studies before 13 drawing any conclusions about the incidence of disease in 14 human beings? 15 MR. WODKA: Objection. 16 THE WITNESS: That would be the ideal 17 approach, to have information from both kinds of studies, 18 but in occupational health, we seldom have all the 19 information that's needed to recommend an exposure limit. 20 BY MR. GOLDBLATT: (RESUMED) 21 Q. Don't you want to get as much information 22 as is possible, Doctor? Isn't that what you want to do? ycn T rscw y DERENBERGER & PAGE REPORTING, IN (301) 656-6060 BFG37356 93 1 A. Yes, but you don't want to wait until the 2 bodies start piling up. 3 Q. Nobody is suggesting that you do that, sir. 4 I'm just trying to understand what the practice was at 5 the time. 6 A. Yes. 7 Q. In fact, that's something that NIOSH would 8 strive to do, to get all of the information that was 9 available, right? 10 A. I refer to -- yes and no. I refer to 11 20(A)3 of the Act. There is another provision a little 12 farther down, 20(A)6, which imposes some urgency on 13 NIOSH, that when NIOSH discovers a.heretofore unknown 14 toxic problem, to gather as much data on it as is 15 available and immediately transfer it to OSHA. 16 There is another place in the Act that 17 imposes an immediate requirement of taking what is 18 available and moving it over to OSHA, so they can get an 19 early start on the problem. 20 And I suppose this was inserted by one of 21 the House or Senate committees writing the Act to force 22 NIOSH into early action and not wait until the bodies DERENBERGER & PAGE REPORTING, II (301) 656-6060 BFG37357 k,, ; v/. 'V iO -O CJ 1 piled up, as I said before. 94 2 Q. Note my objection to the answer as being 3 nonresponsive. 4 Do you recall. Dr. Duffield mentioning that 5 the European countries intended to also brief their 6 respective governments about the progress of their work? 7 A. I believe so. 8 Q. Subsequent to the meeting on July 17, 1973, 9 did you or any member of your staff contact your 10 counterparts in Europe concerning vinyl chloride? 11 A. We had a good relationship with the British 12 occupational health people, but I don't recall whether we 13 contacted them about vinyl chloride. It seems that after 14 the January '74 disclosure, we did pass on information to 15 some of the foreign governments. 16 Q. Do you recall Dr. Rowe explaining the 17 particulars of MCA(s program? 18 MR. WODKA: Objection. What program? 19 MR. GOLDBLATT: Let me rephrase the 20 question. 21 Do you recall Dr. Rowe explaining the 22 particulars of the animal testing and the epidemiology fw i2 m z DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 1 study that MCA was sponsoring? 95 2 MR. WODKA: Objection. 3 THE WITNESS: I remember some of the 4 details. I think he identified the organization doing 5 each one, but as far as concentrations to which the 6 animals would be exposed or the number of animals or the 7 kinds of animals or where the exposed populations would 8 be studied, I don't recall him mentioning that. 9 BY MR. GOLDBLATT: (RESUMED) 10 Q. But you do recall the subject being 11 discussed, that is, the research that was going to be 12 performed and sponsored by MCA, right? 13 A. Yes. 14 Q. Do you recall Dr. Rowe or the members of 15 the MCA group distributing proposed protocols for that 16 research and asking for NIOSH's input on those protocols? 17 A. I don't recall that. * 18 Q. Now, if that subject was discussed in 19 detail, is that something that someone else on your staff 20 besides you would have been involved in? 21 A. If MCA had asked for NIOSH's comments on ;s) 3 22 their proposed tox and epi studies, I would not have been LV DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37359 o ca 96 1 the one to proffer those comments. Our epidemiologist 2 and toxicologist would have responded. 3 Q. You had some toxicologists at the meeting 4 with you, didn't you, sir? 5 A. Yes. 6 Q. Mr. Lassiter was one? 7 A. Yes. 8 Q. Were there other toxicologists? 9 A. Yes. Jacobson was a toxicologist. 10 Q. Would they have been the people at 11 meeting at least who might have been in a position to 12 offer comments about protocols and things of that nature? 13 A. It's possible. 14 Q. Prior to the July 17, 1973 meeting, do you 15 recall seeing any press releases or notices about the MCA 16 sponsored research? 17 A. No. . 18 Q. As of the time you went into this meeting 19 then, was it the first time you had heard that MCA was 20 sponsoring testing on vinyl chloride? 21 A. Yes. 22 Q. Now, do you recall, was there a point in DERENBERGER & PAGE REPORTING, II (301) 656-6060 BFG31360 *3 CM O v i on 97 1 the meeting or points at the meeting where it was open 2 for question and answer? 3 A. I don't recall. 4 Q. Do you recall questions being asked of the 5 MCA representatives? 6 A. Jacobson had some questions for Duffield. 7 Q. You would agree that certainly there was 8 nothing about the meeting that precluded any sharing of 9 information or questions and answers, right? 10 A. No. 11 Q. Now, do you recall Dr. Jacobson inquiring 12 about the strain of rats that were selected for the test 13 protocol? - 14 A. Yes, Sprague Dolly (phonetic) strain of 15 rat. 16 Q. So you do recall him asking that question? 17 A. Yes.. That was one of the preferred strains 18 in use in this country, and he wanted to know if the 19 Italians were using that. 20 Q. Do you recall Dr. Lassiter making comments 21 about the inclusion of food, water and bedding exposure O 22 comparisons in the animal group? ____________________________________________:_________________________________________________________________Q. DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 ....BFG37361 . 98 1 A. I remember somebody asking about that. 2 Q. But you don't recall as you sit here today 3 whether it was Lassiter or someone else, right? 4 A. No, I don't. 5 Q. Do you recall Dr. Duffield responding to 6 that inquiry? 7 A. Yes. 8 Q. Do you recall questions being asked by 9 Dr. Lassiter about the exposure range for the European 10 study? 11 A. No. All I remember was Dr. Duffield saying 12 the exposures would be more realistic. 13 Q. And Dr. Key, did you -or anyone on your 14 staff ask what that meant? 15 A. No. 16 Q. Would that be the kind of question that 17 toxicologist would.ask? 18 A. Yes, except where the tumors that were 19 produced were Zymbal gland tumors. Even today nobody 20 knows how to make the extrapolation from Zymbal gland 21 tumors in rats to human beings, because we don't have 22 glands like that. JO kii 8 6 (m ^ DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG37362 99 1 Q. One of the things that concerns 2 toxicologists and other scientists who do animal testing 3 is what if anything you can extrapolate from animals to 4 human beings; is that right? 5 A. That's correct. 6 Q. Is this referred to as concordance in the 7 field? 8 A. Yes. 9 Q. And there is a fair amount of room for 10 discussion and debate and difference of opinion between 11 scientists as to just how much concordance there is 12 between animal testing and the human experience; is that 13 right. Doctor? 14 A. Quite a bit. 15 MR. WODKA: Objection. 16 BY MR. GOLDBLATT: (RESUMED) 17 Q. And pne of the reasons you referred to the 18 absence of concordance, if you will, about finding tumors 19 in rodents to the human experience is that we don't have 20 a concordant cell structure, we don't have Zymbal glands, 21 right? 22 A. That's a good way of putting it. D TgQ gg DERENBERGER & PAGE REPORTING, INr> (301) 656-6060 BfG3"7363 100 1 Q. Let me ask a more specific question about 2 some of the things discussed at the meeting. 3 Do you recall Dr. Duffield, in response to 4 a question from your staff identifying the exposure range 5 of the European study, the second order study that you 6 later found out was Professor Maltony's, to be in the 7 range of 50 to 10,000 parts per million with repetition 8 of the 30,000 part per million level that Professor Viola 9 had studied? Do you recall that one way or the other? 10 A. I remember that the 30,000 was going to be 11 repeated. I don't recall the range of the study. I 12 don't recall whether he told us the range of the study. 13 Q. Now, do you recall questions being asked by 14 your staff about the range of the second order study, the 15 Professor Maltony study, at which tumors had been 16 observed? 17 MR. WODKA: Objection. I thought that was 18 just asked and answered. 19 THE WITNESS: No, I don't recall. 20 BY MR. GOLDBLATT: (RESUMED) 21 Q. Do you recall Dr. Duffield, in response to 22 a question from your staff, stating that tumors had been 25021100 DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG37364 101 1 observed in the second order study, the study you later 2 found out was performed by Professor Maltony, at levels 3 as low as 250 parts per million? Do you recall that one 4 way or the other? 5 A. My recollection is he did not tell us that 6 tumors had been observed at 250 parts per million. 7 Q. Do you recall the question being asked that 8 was, at what levels tumors were observed? 9 A. No, I don't. 10 Q. Do you recall Drs. Mitchell and Jacobson 11 making comments about the need to document the exposure 12 levels in the epidemiological surveys? 13 A. Vaguely. 14 Q. Do you recall Dr. Lassiter pointing out the 15 desirability of separating smokers from nonsmokers? 16 A. Vaguely. After all, this is 22 years ago. 17 Q. I appreciate it's 22 years ago. Doctor, and 18 I'm trying to find out as much as possible about what you 19 do remember and what you don't remember. 20 Do you recall suggesting that the MCA 21 representatives speak with other members of your staff? 22 A. No. DERENBERGER & PAGE REPORTING, IN'* (301) 656-6060 BFG37365 C/ c i\l H 102 1 Q. Do you recall suggesting that they speak 2 with Dr. Stokenger? 3 A. I recall suggesting, or someone on our 4 staff suggested, that they confer with Dr. Stokenger in 5 regard to the tox study that MCA was planning to do. 6 Q. Who was Dr. Stokenger? 7 A. He was in the Cincinnati laboratory, our 8 head toxicologist there doing studies on exposed animals 9 to see what the toxic effects were. 10 Q. So he was in the lab that NIOSH had that 11 was capable of doing the kinds of studies that you 12 understood the U.S. and European representatives were 13 sponsoring? 14 A. That's right. 15 Q. Is he a well-regarded toxicologist? 16 A. Indeed. 17 Q. He was based in Cincinnati, not Washington; 18 is that right? 19 A. Cincinnati. 20 Q. Was he also active in the American 21 Conference of Governmental Industrial Hygienists? 22 A. He chaired the ACGIH Threshold Limit Value 25021102 DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG37366 103 1 Committee for a number of years. 2 Q. What was that committee? What was its job 3 or function? 4 A. Its job was to recommend safe exposure 5 levels for a great variety of chemical and physical 6 agents. 7 Q. These would be recommendations that were 8 different from those recommendations that were made and 9 carried the force of law from OSHA; is that right? 10 A. It was their recommendation, ACGIHTLV's, 11 that were originally adopted by OSHA under another 12 federal act, but as of the time period we're talking 13 about here, their recommendations did not have the force 14 of law. 15 Q. They would not have the force of law unless 16 they were subsequently adopted by OSHA; is that right? 17 A. That's correct. 18 Q. Do you know what the ACGIH recommended 19 exposure level for vinyl chloride was in 1973? 20 MR. WODKA: I'm going to object. This goes 21 beyond the scope of the direct. 22 Go ahead if you know. DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 *3 C7 O -JA o CJ 104 1 THE WITNESS: In '73. Well, after all, i 2 chaired ACGIH for a year. I think it was 500 parts per 3 million ceiling value eight hours a day, five days a week 4 working lifetime. 5 BY MR. GOLDBLATT: (RESUMED) 6 Q. And you chaired that committee, so you're 7 certain of that, right. Doctor? 8 A. In '73, yes. That was the ACGIH 9 recommended limit at the time. 10 Q. Do you recall asking your staff some 11 questions about when vinyl chloride was due for 12 consideration in the criteria documents program? 13 A. No, I don't recall. 14 Q. Do you recall Dr. Jacobson asking some 15 questions about inquiries concerning availability of 16 vinyl chloride for uses in aerosol component? 17 A. Yes. I didn't understand his interest in 18 the question, but I remember him asking that. 19 Q. Do you recall, sir, were papers left with 20 you and your staff by the MCA representatives? 21 A. I don't recall 22 MR. GOLDBLATT: I'd like this document DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG37368 1 marked as Exhibit No. 7. 2 (Document marked Key Exhibit No. 7) ' 105 3 BY MR. GOLDBLATT: (RESUMED) 4 Q. Dr. Key, I show you what's been marked as 5 Deposition No. 7. Do you recognize that document? 6 A. I believe this is one of the documents 7 discovered in the discovery process. 8 Q. The document is a memo dated July 20, 1973 9 from George Best; is that right? 10 A. That's right. 11 Q. And attached to that memo is a document 12 that's entitled, "notes on meeting between 13 representatives of MCA technical task group and vinyl 14 chloride research and National Institute for Occupational 15 Safety and Health, Rockville, Maryland, July 17, 1973." 16 Is that right, sir? 17 A. Correct. 18 Q. Do you recognize this document as Mr. 19 Best's notes on the meeting that we've been discussing 20 here today? 21 MR. WODKA: Objection; no foundation. ^ CV 22 THE WITNESS: I don't know whether they are SOW DERENBERGER & PAGE REPORTING, IN'' (301) 656-6060 BFG3,7369 106 1 his notes or not, but he transmitted it to management 2 contacts. 3 BY MR. GOLDBLATT: (RESUMED) 4 Q. , Dr. Key, did you review this document in 5 preparation for your testimony here today? 6 A. Yes. 7 Q. Did you review other documents in 8 preparation for your testimony here today? 9 A. Yes. 10 Q. Were you provided with a group of documents 11 by Mr. Wodka to review in preparation for your testimony? 12 A. Yes. 13 Q. So this is one of the documents that you 14 reviewed. Exhibit 7; is that right? 15 A. That's right. 16 Q. I'd like to refer you to the fourth page of 17 the exhibit, which is page 3 of Mr. Best's notes. 18 Are you on that page, sir? 19 A. Yes. 20 Q. Would you look at the next to last 21 paragraph of the document and read it to yourself, sir? *3 C7 O 22 A. Yes. DERENBERGER & PAGE REPORTING, INC (301) 656-6060 O 5 BFG37370 107 1 Q. Have you had a chance to do that, sir? 2 A. Yes. 3 Q. In that paragraph, there is a reference to 4 , comments by Dr. Duffield, and let me read it so it's 5 clear: "1) identify the European study" -- strike that. 6 Let me do it this way. You've had a chance 7 to look at that paragraph? 8 A. Yes. 9 Q. Does that paragraph refresh your 10 recollection on the question of whether Dr. Duffield 11 talked about the levels at which tumors had been observed 12 in the second level study? Does it refresh your 13 recollection about that subject? 14 A. It does not refresh my recollection because 15 I don't believe Duffield mentioned 250 parts per million. 16 Q. So you would agree with me that your 17 recollection of what was discussed at the meeting differs 18 from what's reported in these notes. Exhibit 7, right? 19 A. Mr. Goldblatt, when there is a problem 20 about what is said in an oral report, there are usually 21 two versions, one in the mind of the speaker and another 22 in the mind of the listener. 20 0 10 DERENBERGER & PAGE REPORTING, ir (301) 656-6060 BFG37371 O vl 108 1 I give you what I and others were listening 2 to. I can't tell you what Duffield thought he was 3 saying. Apparently this is what he thought he was 4 saying, but we didn't hear it that way. 5 Q. I understand your testimony in that regard, 6 but the document you're looking at is not Duffield's 7 notes. It's Best's notes, isn't it, sir? 8 MR. WODKA: Objection; no foundation. 9 THE WITNESS: I don't know whose notes they 10 are. 11 BY MR. GOLDBLATT: (RESUMED) 12 Q. Who signed the document, sir? 13 A. George Best. 14 Q. So what you're telling me. Doctor, is that 15 it's human experience that at any event that's observed 16 by multiple people, there can be different perceptions of 17 what is said? 18 MR. WODKA: Objection. 19 THE WITNESS: Not any event, but where 20 there is a difference of opinion, there are usually two 21 versions, the speaker's version and the listener's 0 22 version. _______________________________________________________________________H DERENBERGER & PAGE REPORTING, (301) 656-6060 BFG37372 ^ oo 1 BY MR. GOLDBLATT: (RESUMED) 109 2 Q. And in this meeting we have several 3 different people who were both speakers and listeners; is 4 that right? 5 A. Correct. 6 I'd like to make a gratuitous comment. 7 Q. No, sir, there is no question pending on 8 the record. If you would like to go off the record and 9 make a gratuitous comment to everybody, you're free to do 10 that. 11 MR. WODKA: Do you want to take a break? 12 THE WITNESS: No. I was just thinking 13 that -- 14 MR. WODKA: He is right. If you want, we 15 can go off the record. 16 THE WITNESS: Off the record for a minute. 17 VIDEO SPECIALIST: We're going off the 18 record. The time on the screen is 1:01:19. 19 (Brief recess taken) 20 VIDEO SPECIALIST: We're back on the 21 record. The time on the screen is 1:03:12. 22 BY MR. WODKA: (RESUMED) M CJl DERENBERGER & PAGE REPORTING, IN'" (301) 656-6060 a 110 1 Q. Dr. Key, if I understand your testimony 2 correctly, your next significant recollection about vinyl 3 chloride after that meeting is receiving a call either 4 from BF Goodrich or a representative of BF Goodrich in 5 January, 1974; is that right? 6 A. That's correct. 7 Q. And was there a meeting with BF Goodrich 8 that same day? 9 A. No, I believe it was the following day, on 10 the 22nd of January. 11 Q. And was it at that meeting that you were 12 advised by BF Goodrich representatives about the results 13 of Professor Maltony's study for the first time? 14 A. Yes. 15 Q. And would you tell us what they told you at 16 that time about Professor Maltony's study? 17 A. That liver tumors, angiosarcoma of the 18 liver type tumors, had been observed in his rats exposed 19 down to 250 parts per million, period. 20 Q. Did you ask when that observation had first 21 been made? 22 A. I don't recall. DERENBERGER & PAGE REPORTING, IN (301) 656-6060 Bf031314 111 1 Q. Now, am I correct, sir, that after that 2 meeting, you had no contact with the MCA representatives 3 about what they knew about Professor Maltony's results? 4 A. I don't recall. 5 Q. As you sit here today, do you recall going 6 back to the MCA representatives and making any inquiry 7 about Professor Maltony's study once you first learned of 8 it? 9 A. I don't recall, 10 Q. Do you have any notes or memos that address 11 that subject in any fashion? 12 A. Whether I went back to MCA? 13 Yes. 14 A. No, I don't have any notes or recall. 15 Q. Now -- 16 A. May I explain why I wasn't as interested in 17 that subject as were you? 18 Q. Dr. Key, please stay with the questions. 19 If you feel you need to expand upon an answer, by all 20 means tell us that, but the framework for this kind of a 21 proceeding is question and answer. 22 A. I understand.. rS !>'Oi DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 B? 112 1 Q. Now, in January of 1974, you did get back 2 to Mr. Best; is that right? 3 A. I sent him one of the exhibits indicating 4 our progress to date and recommendations for work 5 practices. 6 Q. Are you referring to Deposition Exhibit No. 7 3, sir? 8 A. Yes. 9 Q. And that's a letter that you wrote to Mr. 10 Best; is that correct? 11 A. That's correct. 12 Q. By the way, did you draft it or did the 13 staff draft it? 14 A. I don't recall. 15 Q. Did you send the same letter to other 16 people as well? 17 A. I don't recall. 18 Q. In the letter, you request assistance in 19 disseminating information about NIOSH's recommended 20 monitoring and control procedures for polymerization 21 processes involving vinyl chloride; is that right? 22 A. Yes, to his member companies. DERENBERGER & PAGE REPORTING, IN (301) 656-6060 BFG31376 *0 C/1 H V 113 1 Q. So this was a document that you expected 2 would be distributed to the different companies that were 3 then engaged in the polymerization of vinyl chloride; is 4 that right? 5 A. And the manufacture of the monomer. 6 Q. Was it your hope and intent that the 7 procedures outlined in this enclosure would be considered 8 by them for immediate adoption in their plants if they 9 had not already been doing that? 10 MS. BOSSE: Object to the form. 11 THE WITNESS: Yes. 12 BY MR. GOLDBLATT: (RESUMED) 13 Q. And that was your purpose in sharing it 14 with Mr. Best and asking for that assistance; is that 15 right? 16 A. Yes. 17 Q. Did your staff sponsor a meeting with 18 industry and labor in February of 1974? 19 A. We sponsored a meeting in the early part of 20 that year. I don't remember the date. 21 Q. And did you attend that meeting? 2 2 A. I don't recall. ETTT2QSZ DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG373T7 114 1 Q. After you were contacted by BF Goodrich on 2 January 22, 1974, did you communicate with any 3 representatives of the Oil, chemical and Atomic Workers 4 Union concerning vinyl chloride? 5 A. Yes. 6 Q. Who did you contact and what was the nature 7 of the communication? 8 A. I believe it was Tony Mazzoky (phonetic), 9 and I believe it was to inform him that there was an 10 emergent problem with vinyl chloride and there would be a 11 meeting with labor and industry. 12 Q. Dr. Key, would you agree with me, sir, that 13 there was no controversy about what was discussed at - the 14 July 17, 1973 meeting until an article appeared in the 15 Chemical and Engineering News on May 20, 1974? 16 A. That was the first -- the appearance in 17 Chemical and Engineering News was the first time that I 18 and members of my staff realized that there was a 19 controversy. 20 Q. How did that article come to your 21 attention, sir? Do you remember? 22 A. I believe it was, a reporter called me and DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG37378 115 1 asked my reaction to it, and I had not yet seen it and 2 asked what article. 3 Q. As a result of that, did you secure a copy 4 of the article? 5 A. Oh, yes. 6 Q. Tell me how. 7 A. I don't know. I don't believe we 8 subscribed to C&E News. We must have gone to a library 9 to get it. It's easily available. 10 Q. In the article there was a statement that 11 suggested that, and I quote, "There was a major question 12 mark concerns what was said by MCA to the National 13 Institute for Occupational Safety and Health in July, 14 1973 and earlier." 15 Do you recall seeing that in the article? 16 A. Yes. 17 Q. And was it that paragraph that first 1 18 you to believe there was a controvery in one form or 19 another as to what was said? 20 A. That is correct. 21 Q. Now, after you reviewed that, did you 22 convene your staff? DERENBERGER & PAGE REPORTING, I (301) 656-6060 BFG37379 tO mi, w 116 1 A. I wouldn't agree to the word convene. i 2 asked two of the senior people who were at the meeting, 3 who I knew took notes, to write me a memo relating the ir 4 recall and what was in their notes regarding the meeting. 5 Q. Had you shown them the article? 6 A. I don't recall. 7 Q. Do you know if they were aware of the 8 article at the time? 9 A. I don't recall. 10 Q. Was there some question in your mind as to 11 exactly what was said such that you wanted confirmation 12 one way or the other from your staff? 13 A. Well, I had my own memory of the meeting. 14 I did not brief these two as to what my recall was. I 15 thought it would be better if they wrote this on their 16 own without me telling them how I remembered it. If the 17 director says he remembered it a certain way, it's a 18 possibility that the staff might recall it also that way. 19 Q. So it's your testimony, sir, then that you 20 took pains to make sure that they didn't know what you 21 thought before you asked them to go back and check their 22 notes? Is that your testimony? O h* --JK DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37380 CD 117 1 A. I may have said that there is an article, 2 there is a recent article that recalls that -- that 3 reports the events of the meeting in a different fashion 4 than my recall. I probably said that as an introduction 5 to telling them to review their notes and write a memo as 6 to what they recall and what was in their notes. 7 Q. And did you make that request to one person 8 or more than one person? 9 A. I don't recall. I made it to two of them, 10 Mitchell and Jacobson. 11 Q. Are you sure of that, sir? 12 A. I think so. 13 Q. And the reason I asked the question is 14 because the memo that was marked as Exhibit No. 2 that 15 you talked about earlier, I think it appears was written 16 by Jacobson, but then it looks like he had Mitchell read 17 it and sign off on.it. 18 Is that your understanding? 19 A. I didn't have Mitchell read it. Jacobson 20 must have had him read it. 21 Q. I said Jacobson, sir. 22 A. Yes. DERENBERGER & PAGE REPORTING, INP (301) 656-6060 BFG37381 118 1 Q. But that is your understanding of what 2 occurred? 3 A. Yes. 4 Q. My question to you was, did you ask both of 5 them to do this or did you just ask Jacobson to do it? 6 A. I think I asked both of them. 7 Q. Did you ask Lassiter to check his notes and 8 tell you what his notes said? 9 A. No. These were the two senior people. 10 Q. Sir, I didn't ask you who was senior. I 11 asked you whether you asked Lassiter or not. Did you? 12 Yes or no, sir? 13 A. I don't recall. 14 Q. Did you ask James to check his notes and 15 let you know what he recalled about what his notes 16 reflected? 17 A. No, I wouldn't have asked J^mes. 18 Q. Was James still in the agency at the time? 19 A. In July? I believe so. 20 Q. In fact, all four of the people who 21 attended the meeting with you were still with the agency 22 in May, 1974; is that right? fO C. . o w DERENBERGER & PAGE REPORTING, (301) 656-6060 h* 00 1 A. Yes. 119 2 Q. But so far as you recall, sir, the only two 3 to whom inquiry was made was Jacobson and Mitchell; is 4 that right? 5 A. Yes. 6 Q. Did you yourself ever look at Mitchell and 7 Jacobson's notes of the meeting? 8 A. No. 9 Q. Did you ever ask Lassiter of James for 10 their notes of the meeting? 11 A. No. 12 Q. At any time prior to today have you ever 13 seen any notes generated by any staff member of NIOSH who 14 attended that meeting concerning what was said or what 15 occurred? 16 A. No. 17 Q. I take it you did look at Exhibit 2 in 18 preparation for your testimony here today; is that right? 19 A. Correct. 20 Q. Did you ask Jacobson or Mitchell to contact 21 any of the MCA representatives or the European 22 representatives who attended the meeting? bT T g Q S g DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37383 120 1 MR. WODKA: About what or when? 2 BY MR. GOLDBLATT: (RESUMED) 3 Q. Let me be more specific. 4 At the time you had your conversation with 5 Jacobson about checking his notes and writing you a memo, 6 did you ask him to make inquiry of any of the non-NIOSH 7 people about what they remembered? 8 A. No, but Jacobson had had a recent 9 conversation with VK Rowe, and that appears in there. 10 Q. And in fact, on the second page of 11 Jacbobson's memo, he states that he had a recent 12 conversation with VK Rowe in May, 1974, and he quotes 13 some comments or refers to some comments by Mr. Rowe- as 14 to what his notes suggested NIOSH had been told about the 15 new Italian study; is that right? 16 A Yes 17 Q. Did Rowe contact Jacobson or did Jacobson 18 contact Rowe? 19 A I don't know 20 Q. You do know, though, that at least as of 21 May, 1974, Rowe's notes of the meeting differed with your 22 recollection? DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37384 \. *V> 4* 1 A. Yes. 121 2 MR. WODKA: Objection. 3 THE WITNESS: Well, I don't know about his 4 notes. I wasn't privy to his notes. All I know about is 5 that the 250 part per million part of his notes differed. 6 BY MR. GOLDBLATT: (RESUMED) 7 Q. Let me refer you to Exhibit No. 2, the May 8 24, '74 memo from Jacobson. 9 Does he not state on the bottom of page 2, 10 "A recent conversation with VK Rowe in May, 1974, 11 elicited the comment, after he consulted his notes of the 12 meeting, that NIOSH had been told that the new Italian 13 study had found tumors at 250 parts- per million but not 14 at lower concentrations, NIOSH staff notes and 15 recollection are nonconfirmatory"? 16 Did I read that correctly, sir? 17 A. You read that correctly, but your question 18 encompassed more than that information. 19 Q. My question is very simple, sir. 20 As of the time you received this memo, you 21 knew that as to this point VK Rowe's notes differed from 22 your recollection, right? N3 * /# DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG37385 1 MR. WODKA: Objection. 122 2 THE WITNESS: In regard to the 250 parts 3 per million? 4 MR. GOLDBLATT: Yes. 5 THE WITNESS: Yes. I don't know anything 6 about the rest of his notes. 7 BY MR. GOLDBLATT: (RESUMED) 8 Q. And was it your understanding of Jacobson's 9 conclusion that NIOSH staff notes and recollections were 10 nonconfirmatory of VK Rowe's notes? 11 A. It seems guite clear. 12 Q. And that was your understanding, right? 13 A. It was my understanding too. 14 Q. Were any other memos prepared concerning 15 anyone's recollections at this meeting, any other NIOSH 16 documents? 17 A. I don't recall any others. 18 Q. After you received that memo in May, 1974, 19 did you talk to Jacobson and Mitchell or any of the other 20 two staff people who were present about their 21 recollections? 22 A. I don't recall. DERENBERGER & PAGE REPORTING, IN (301) 656-6060 BFG313> 123 1 Q. As of the time you asked them for this 2 memo, had you decided to reply to anything stated in the 3 Chemical and Engineering News article? 4 A. No. I wanted to see what their memory was, 5 Jacobson and Mitchell. 6 Q. Did you subsequently use what was in this 7 memo to prepare a response that you submitted to Chemical 8 and Engineering News? 9 A. Yes. 10 Q. When this controversy occurred, did you 11 contact Duffield and talk to him about what was said at 12 the meeting? 13 A. No. 14 Q. Did you call Rowe and ask him about what 15 was said at the meeting? 16 A. No. 17 Q. Did you call Mr. Best and ask him about 18 what was said at the meeting? 19 A. No. 20 Q. Did you call Mr. Rhinehart and ask him what 21 was said at the meeting? 22 A. No. DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG37387 c: CJ 124 1 Q. Did you call Mr. Wheeler and ask him what 2 was said at the meeting? 3 A. No. 4 Q. As you sit here today, do you have any 5 knowledge one way or the other about what their 6 respective notes and recollection suggests was discussed 7 at the meeting about the concentration level at which 8 tumors had been observed in Maltony's study? 9 A. None other than what VK Rowe told Jacobson. 10 Q. And none other than what may be contained 11 in Mr. Best's notes, Exhibit 7; is that right? 12 MR. WODKA: Objection. 13 MR. GOLDBLATT: Is that right, sir? 14 MR. WODKA: Objection. 15 THE WITNESS: That's right. 16 BY MR. GOLDBLATT: (RESUMED) 17 Q. Dr. Key, was there a discussion at the July 18 17, 1973 meeting about how many different species of 19 animals were included in the second stage Italian study 20 that you referred to? 21 A. No discussion, but there was mention that 22 it was only one species, and that was rats. DERENBERGER & PAGE REPORTING, Jh (301) 656-6060 BFG37388 125 1 Q. Was it one species of rats or more than one 2 species of rats? 3 A. Rats are a species. My understanding is 4 that they were all Sprague Dolly rats, which would mean 5 one species. 6 Q. Was that your understanding of the animals 7 that were tested in the Viola study as well? 8 A. I don't recall what kind of animals other 9 than rodents he tested. 10 Q. Dr. Key, there did come a time when you 11 wrote a letter to the editor of C&E, or Chemical and 12 Engineering News, about this controversy; is that right? 13 A. That's right. 14 Q. Do you recall stating in that letter, "The 15 ICI representative also reported an uncompleted industry 16 sponsored study of several rodent species at more 17 reasonable levels of vinyl chloride"? 18 A. I did write that. 19 Q. Were you mistaken when you wrote that? 20 A. I was mistaken. 21 Q. What led you to believe you were mistaken? O ----------------------------------- 22 A. I don't know, but I did correct my mistake DERENBERGER 6 PAGE REPORTING, IN (301) 656-6060 ____________ BFG37389 ^ 126 1 when I wrote a letter to the Senate committee hearing 2 testimony on the vinyl chloride problem. 3 Q. This would be -- 4 A. A coupie of months later. 5 Q. This would be several months later? 6 A. Yes. 7 Q. Could you tell me what is it that you 8 looked at, if anything, to correct your recollection on 9 this point as to whether he had talked about one species 10 or more than one species? 11 A. What I looked at? 12 Q. Yes. 13 A. I don't -- the only thing I had to look at 14 was the memo that Jacobson and Mitchell had sent me. 15 Q. But you had that available to you when you 16 wrote the letter to the editor; isn't that right? 17 A. Yes. . 18 Q. What I'm trying to find out is if you 19 looked at something else that we haven't talked about 20 already that helped correct your recollection in that 21 point? 22 A. No. c.-; o M DERENBERGER & PAGE REPORTING, 1 (301) 656-6060 BFG37390 cn 127 1 Q. Now, do you recall, sir, that David 2 Duffield also wrote a letter to the editor at Chemical 3 and Engineering News about his recollection of what was 4 said at the NIOSH meeting? 5 A. I recall a -- someone from ICI writing a 6 letter. I don't remember it being Duffield. I thought 7 it was someone named Brainard. 8 Q. Do you recall reading that letter at the 9 time? 10 MR. WODKA: At what time? 11 MR. GOLDBLATT: At the time it first 12 appeared. 13 THE WITNESS: I think the first time I saw 14 it was in the record produced by the Senate committee 15 holding the hearing. 16 BY MR. GOLDBLATT: (RESUMED) 17 Q. You do know that it was attached as an 18 exhibit or as part of the record; is that right? 19 A. Yes. 20 Q. After you reviewed that document, did you 21 recognize or appreciate that ICI's recollection of what 22 had been said at the meeting differed from yours too? DERENBERGER & PAGE REPORTING, (301) 656-6060 BFG37391 1 A. Oh, yes. 128 2 Q. Did you then call David Duffield and ask 3 him about the subject? 4 A. No. 5 Q. Let's go off the record for a moment while 6 I search for an exhibit. 7 VIDEO SPECIALIST: Off the record. The 8 time on the screen is 1:28:44. 9 (Brief recess taken) 10 VIDEO SPECIALIST: We're back on the 11 record. The time on the screen is 1:39:25. 12 BY MR. GOLDBLATT: (RESUMED) 13 Q. Dr. Key, there came a time when you 14 testified before Congress; is that correct, sir? 15 A. Yes. 16 Q. And this was at the so-called Tunney 17 hearing; is that right? 18 A. Yes. 19 Q. This was in August of 1974; is that right? 20 A. I believe so. 21 Q. Other people from NIOSH testified at the 22 same time; is that right? c.' o DERENBERGER & PAGE REPORTING, I* (301) 656-6060 BFG37392 N 00 129 1 A. Yes. ( 2 Q. As well as Dr. Saffioti; is that right? 3 A. Yes. 4 Q. And also some representatives from 5 industry, Mr. Torkelson from the Dow Chemical Company 6 testified as well; is that right? 7 A. Yes. 8 Q. Did you have an occasion or a chance to 9 review that testimony that you gave in preparation for 10 your testimony here today? 11 A. Yes. 12 Q. And if I understand correctly, you 13 submitted a written statement that-you read into the 14 record and you were also available to answer questions at 15 the time of that hearing; is that right? 16 A. Yes. 17 Q. Earlier you indicated that on the 18 assumption that you had learned information that you say 19 you didn't learn at the July 17 meeting, you would have 20 called a meeting of various toxicologists from sister 21 programs like NCI and FDA to see if there was a consensus 22 among toxicologists about upgrading the status of vinyl Cl k a DERENBERGER & PAGE REPORTING, i: (301) 656-6060 BFG37393 CD 1 chloride. 130 2 Do you recall that testimony earlier? 3 A.. Yes. 4 Q. Am I correct, sir, that one of the 5 toxicologists that you would have contacted from MCI and 6 brought into the loop would have been Dr. Saffioti? 7 A. Yes. 8 Q. Doctor, you also were asked some questions 9 earlier today about the emergency temporary standard that 10 was adopted by the Occupational Safety and Health 11 Administration of the Department of Labor that's been 12 marked as Exhibit 5; is that right? 13 A. Yes. 14 Q. If I understand your testimony correctly 15 OSHA, in reviewing the recommendations that your agency 16 made, decided not to adopt those recommendations in whole 17 but in fact promulgated an emergency temporary standard 18 that differed in some respects from what you had 19 recommended; is that right? 20 A. Yes. 21 Q. And that was their prerogative to do; is 22 that right, sir? DERENBERGER & PAGE REPORTING, I (301) 656-6060 BFG37394 1 A. Yes. 131 2 Q. And in fact, it was OSHA that had the 3 obligation to promulgate the standard; is that right? 4 A. Correct. 5 Q. Do you know a Dr. Dawl? 6 A. Yes. 7 Q. Who is Dr. Dawl? 8 A. Sir Richard Dawl is an Englishman, 9 generally considered to be the dean of epidemiologists, 10 on two occasions was a visiting professor at our school 11 in Houston. 12 MR. WODKA: I'm going to object that any 13 questions about Dr. Dawl go beyond"the scope of the 14 direct examination. 15 MR. GOLDBLATT: And do you consider Dr. 16 Dawl to be one of the foremost epidemiologists in the 17 world? 18 MR. WODKA: Objection. 19 THE WITNESS: Yes. 20 MR. GOLDBLATT: I have no further questions ft 21 at this time. CV e ft 22 Let's go off the record. ^ C* DERENBERGER & PAGE REPORTING, II (301) 656-6060 BFG37395 132 1 VIDEO SPECIALIST: We're going off the 2 record. The time on the screen is 1:43:19. 3 MR. GOLDBLATT: Back on the record. We're 4 going to take a break for lunch, and I'm simply going to 5 request that there be no discussions between the witness 6 and counsel concerning the substance of his testimony, 7 since all of the examinations and cross examinations have 8 not been completed at this time. 9 MR. WODKA: Counsel is free to inquire 10 after lunch if any discussions took place. 11 (Lunch recess taken) 12 VIDEO SPECIALIST: We're back on the 13 record. The time on the screen is -2:51:41. 14 EXAMINATION ON BEHALF OF THE THIRD-PARTY 15 DEFENDANT 16 BY MS. BOSSE: 17 Q. Good-afternoon. Dr. Key. 18 A. Good afternoon, ma'am. 19 Q. Is it fair to say that the disclosure of 20 the BF Goodrich cases of angiosarcoma of the liver among 21 its poly vinyl chloride workers presented an acute 22 problem to NIOSH? DERENBERGER & PAGE REPORTING, II (301) 656-6060 BFG37396 *V c> M hV* CO N 1 A. Indeed. 133 2 Q. And is it fair to state that the disclosure 3 of these deaths presented a problem that was urgent in 4 nature? 5 A. Indeed. 6 Q. And is it fair to say that NIOSH responded 7 to the disclosure of these deaths in an almost 8 crisis-like manner? 9 A. Yes. 10 Q. OSHA conducted a fact finding hearing on 11 February 15, 1974; is that correct? 12 A. Yes. 13 Q. Were you at that hearing? 14 A. I believe I testified at part of it. 15 Q. Did Mr. Vernon Rose testify on behalf of 16 NIOSH at that hearing, do you know? 17 A. Maybe he was the one who testified. I 18 don't remember. 19 Q. There is a reference in the transcript at 20 one point to a Marcus Keane, K-e-a-n-e of NIOSH. Would 21 that have been a mistake for you? 22 A. It must have been. 25021133 DERENBERGER & PAGE REPORTING, IN (301) 656-6060 BFG37397 134 1 Q. There was no Marcus Keane at NIOSH at that 2 time, was there? 3 A. No. 4 Q. Were you present when Mr. Rose made the 5 statement before that hearing that, "NIOSH considers the 6 situation that has developed in the Louisville facility 7 of BF Goodrich to be extremely serious, and indeed our 8 reaction to the information as presented to us one of, 9 you might consider, an almost crisis response on our 10 part?" 11 A. I don't recall whether I was present at 12 that OSHA hearing or not. 13 Q. Would you agree with -that statement, 14 nontheless? 15 A. I would agree with that statement. 16 Q. This hearing was convened just three weeks 17 after you learned of these deaths of the BF Goodrich 18 workers; is that correct? 19 A. Yes. 20 Q. Had you ever seen a hearing of this nature 21 convened so rapidly? 22 A. No. DERENBERGER & PAGE REPORTING, (301) 656-6060 BFG37398 JO l a 135 1 Q. You testified yourself at an OSHA hearing 2 conducted in June of 1974; is that correct? 3 A. June of '74, I believe so. 4 Q. And did you make a statement on the 5 proposed permanent OSHA standard.at that time citing the 6 urgency of the vinyl chloride problem? 7 A. I believe so. 8 Q. Was the urgency that you referred to the 9 urgency created by the reports of these deaths of the BF 10 Goodrich workers, and by that time deaths among other PVC 11 workers? 12 A. Yes. 13 Q. You told us earlier you also testified 14 before Senator Tunney's committee in August of 1974? 15 A. Yes. 16 Q. And did you tell Senator Tunney's committee 17 that the vinyl chloride problem became acute with the 18 report of the debts of the PVC workers at BF Goodrich? 19 A. It sounds like something I said. 20 Q. Is that true, that the vinyl chloride 21 problem became acute with the report of these deaths? 22 A. Yes. 25021135 DERENBERGER & PAGE REPORTING, II (301) 656-6060 BFG37399 136 Q. And you told Senator Tunriey's committee, did you, that the urgency and potential seriousness of the problem in recognition of that, you convened this meeting of the agencies with health research responsibility? A. Yes. Q. And the urgency and potential seriousness you referred to again was the deaths of the PVC workers? A. Yes. Q. Is it fair to say, assuming that you were not told in July of 1973 that there had been reports of tumors found by Professor Maltony in his preliminary work at 250 parts per million exposure of vinyl chloride --- A. I missed the first part of that question. Q. All right. Let me start over, because I think it was not perhaps well phrased. Let's assume that you were not told in July of 1973 that Professor Maltony's preliminary results indicated that tumors had been produced at exposures of 250 parts per million. If you had known that in July of 1973, would that have presented the same urgent problem that DERENBERGER & PAGE REPORTING, IN (301) 656-6060 BFG37400 1 faced NIOSH in January of 1973? 137 2 MR. WODKA: January of '74. 3 MS. BOSSE: January of '74, thank you. 4 THE WITNESS: Almost, but not quite. The 5 occurrence of human cases made the problem much more 6 acute. 7 BY MS. BOSSE: (RESUMED) 8 Q. And in the appearance of human cases making 9 the problem much more acute, did it make NIOSH's response 10 much more immediate? 11 A. By that you mean NIOSH's response to the -- 12 Q. Report of the human cases. 13 A. To the report of the'cases, yes. 14 Q. Now, let's talk for a moment about what you 15 did know, according to your testimony, in July of 1973. 16 You did know that cancerous tumors had been 17 produced in laboratory animals exposed to vinyl chloride 18 at 30,000 parts per million; is that correct? 19 A. Yes. 20 Q. And this was Dr. Viola's research, and you 21 knew of Dr. Viola by name, correct? 22 A. Yes. I S * X X r 'C \ r '>y DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37401 138 1 Q. Had you ever read his report? 2 A. No. 3 Q. Did you know as of that time that the 4 cancers had been produced, in addition to the Zymbal 5 glands, in the skin, bones and lungs of those animals? 6 A. I hesitate because of the word "produced". 7 It had been found in those other organs. It was the 8 first time I had learned that. 9 Q. You told us earlier that there might have 10 been some issue of metastasis that was discussed at your 11 meeting in July of 1973? 12 A. Yes. 13 Q. But nonetheless, you -were told that the 14 studies by Dr. Viola had resulted in tumors as 15 originalled reported -- 16 A. As originally reported, correct. 17 Q. -- being found in multiple organs? 18 A. Yes. 19 Q. And you understood that there was an 20 ongoing study in which laboratory animals were being 21 exposed to vinyl chloride in, I believe the words of your 22 testimony was, more realistic levels? DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37402 lv CO CO 1 A. Yes. 139 2 Q. And did you understand more realistic 3 levels to mean levels more closely approximating the 4 occupational exposure, anticipated levels of exposure in 5 the occupational setting? 6 A. Yes. 7 Q. And you knew at that time that in that, I 8 think you called it second order study at that time, 9 tumors had been produced? 10 A. Yes. 11 Q. And did you learn anything about what organ 12 such tumors were induced in? 13 A. The information was presented in such a way 14 that it led us to believe that the tumors had been 15 produced in the Zymbal glands of the rodents. 16 Q. Do you recall specifically one way or 17 another whether there was discussion of tumors appearing 18 in any other organ? 19 A. No. 20 Q. Is this a conclusion that you drew? When 21 you say the information, you're hesitating, which leads ft Ce c 22 me to think maybe my question perahps was not clear to i\; H -----------------------------------------------------------------------------------------------------------------------------------------------------------------------M DERENBERGER & PAGE REPORTING, II u CO (301) 656-6060 BFG37403 1 you. 140 2 You said that the information was presented 3 in such a fashion that you were led to believe that the 4 tumors were produced in the Zymbal gland? 5 A. Yes. 6 Q. What I'm asking you is, do you recall 7 specifically what you were told about what organ or 8 organs the tumors were produced in? 9 A. No. 10 Q. You don't recall one way or the other? 11 A. No. 12 Q. Now, you knew that the research in this 13 so-called second order study was ongoing, correct? 14 A. Yes. 15 Q. You knew that there was a European 16 epidemiological study that was ongoing, correct? 17 A. It was in the UK, which the British don't 18 consider part of Europe, but yes. 19 Q. In any event, I guess as an American across 20 the ocean, there was a study going on? 21 A. Yes. 22 Q. And you knew as of that time that thus far O T 'Ite O 3 2 T DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG37404 141 1 that epidemiological study had produced negative results? 2 A. Correct. 3 Q. You knew at that time that MCA was 4 conducting their own animal inhalation studies? 5 A. Yes. 6 Q. And you had the protocol for that, correct? 7 A. Yes. 8 Q. And that MCA was also doing an 9 epidemiological study, correct? 10 A. Yes. 11 Q. And you had the protocol for that? 12 A. I believe we did. 13 Q. Are you suggesting that with this 14 background, if you knew in addition, assuming you didn't 15 know, that tumors were produced at 250 parts per million 16 by Dr. Maltony in the preliminary report of his work, 17 that you would have reported this to OSHA under section 18 20(A)6? 19 A. Not immediately. 20 Q. And when you say not immediately, are you 21 suggesting that you would have waited for some further 22 developments with regard to the studies that were cn CD DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG37405 1 ongoing? 142 2 A. Yes. 3 Q. And is it fair to say that at whatever 4 point you passed information on to OSHA, what OSHA might 5 have done with that information or not have done in terms 6 of the exercise of their rule making authority and 7 mandate, it would be pure speculation for us to know what 8 they would have done? 9 MR. WODKA: Objection. 10 MS. BOSSE: Well, strike that. 11 BY MS. BOSSE: (RESUMED) 12 Q. Would we be speculating to say that OSHA 13 would have acted in one way or another with regard to any 14 particular report? 15 A. I hesitate knowing that OSHA requires a 16 certain amount of information before they will proceed 17 with rule making. And initially in this hypothetical 18 situation, all we had was tumors produced at 250 parts 19 per million. 20 Do you want me to speculate? I think OSHA M 21 would have said, thank you for this information, Dr. Key, C/ c: 22 keep us informed. tN H H DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG37406 N 1 Q. Thank you. 143 2 Now, you told us that when you transmitted 3 -- well, ultimately you transmitted a recommendation to 4 OSHA, correct? 5 A. March 11. 6 Q. And the recommendation that you transmitted 7 to OSHA -- well, strike that. 8 In developing the recommendation that you 9 transmitted, was it part of your statutory mandate to 10 consider economic impact? 11 A. Absolutely not. This is OShA's 12 responsibilities under the Act. 13 Q. Was it part of your responsibility to 14 consider technical feasibility, technological 15 feasibility? - 16 A. We always commented on whether it was 17 technically feasible in making our criteria document 18 recommendations, but I believe the ultimate decision was 19 OSHA's. 20 May I elaborate on that? 21 Q. You may. 8 22 A. NIOSH would have to point out that it's m DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG37407 144 1 technically feasible to do air sampling in this manner. 2 It would have to point out that some companies have been 3 able to control the exposure with a certain kind of 4 technology, but I still believe it was OSHA's ultimate 5 responsibility to rule on technical and economic 6 feasibility. 7 Q. And in this instance, when OSHA issued its 8 emergency temporary standard, in fact OSHA found that in 9 its practical judgment, the 50 part per million standard 10 that it enacted as an emergency temporary standard, was 11 the lowest level that could be complied with immediately; 12 is that correct? 13 A. Correct. 14 Q. Now, you talked about the fact that -- and, 15 again, assuming that you weren't told, if you had been 16 told of Dr. Maltony's preliminary results of inducing 17 tumors at 250 parts per million in July of 1973, you 18 would have convened a meeting of some of the other 19 agencies or branches of government that had health 20 research responsibility, correct? 21 A. After I had confirmed the results of 22 Maltony's experiment, preferably in the form of hard DERENBERGER & PAGE REPORTING, IN (301) 656-6060 BFG37408 >3 Tk 1 .ik i 1 copy. 145 2 Q. And you told us that the purpose of that 3 meeting would be to determine whether to upgrade vinyl 4 chloride from an animal carcinogen to a suspected human 5 carcinogen? 6 A. Yes. 7 Q. Would that upgrade, so to speak, have any 8 regulatory impact? 9 A. No. 10 MS. BOSSE: That's all I have. Thank you. 11 MR. WODKA: Off the record. 12 VIDEO SPECIALIST: We're going off the 13 record. The time on the screen is 3:07:52. 14 (Brief recess taken) 15 VIDEO SPECIALIST: Back on the record. The 16 time on the screen is 3:08:37. 17 FURTHER EXAMINATION ON BEHALF OF THE PLAINTIFF 18 BY MR. WODKA: 19 Q. Good afternoon. Dr. Key. I just have a few 20 brief issues I just want to touch on. 21 Under the Occupational Safety and Health 22 Act, both NIOSH and OSHA have direct responsibility for 2S02H45 DERENBERGER & PAGE REPORTING, IN'' (301) 656-6060 BFG37409 1 workers7 safety and health; is that correct? 2 A. Right. 146 3 MS. BOSSE: I object to the form. 4 MR. GOLDBLATT: I object to form. 5 MR. WODKA: Doctor, under the Occupational 6 Safety and Health Act, what agencies have direct 7 responsibility for workers' safety and health? 8 MS. BOSSE: I object to the form of the 9 question. 10 MR. WODKA: What is the objection? 11 MS. BOSSE: I think workers' safety and 12 health responsibility is an undefined term. 13 MR. WODKA: We'll let the judge rule on 14 that one. You can answer. 15 THE WITNESS: The Occupational Safety and 16 Health Administration of the Department of Labor and the 17 National Institute for Occupational Safety and Health and I8 the Department of HEW. 19 MR. WODKA: Under the Act as you know it, 20 is the National Cancer Institute given any direct role 21 for workers' safety and health? 22 MR. GOLDBLATT: I object to the form. O ' N. V* DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37410 a 147 1 MS. BOSSE: I object to the form 2 THE WITNESS: No 3 MR. WODKA: Doctor, if a manufacturer of a 4 product found that there was a potentially new toxic 5 effect of their material or their product that would 6 affect worker health and safety under the Occupational 7 Safety and Health Act as it existed in 1973, which is the 8 first agency that they should report that information to? 9 MR. GOLDBLATT: I object to the form. 10 MS. BOSSE: I object to the form 11 MR. WODKA: You can answer. 12 THE WITNESS: Usually it would be to NIOSH 13 unless it involved a fatality or multiple fatalities, in 14 which case there was a statutory authority that they 15 reported to OSHA within a certain number of days. 16 MR. WODKA: So, is it fair to say then that 17 it would either be NIOSH or OSHA would be the first 18 agency? It would not be the National Cancer Institute; 19 is that correct? 20 MR. GOLDBLATT: Objection to the form. 21 MS. BOSSE: I object to the form 22 BY MR. WODKA: (RESUMED) DERENBERGER & PAGE REPORTING, INC. (301) 656-6060 BFG37411 , .r ;* 148 1 Q. We've had a lot of discussion today about 2 Dr. Maltony's results at 250 parts per million that 3 apparently he discovered at some time in 1972. 4 This effect at 250 parts per million was 5 within the permissible exposure limit that was in effect 6 in the United States for workers as of 1973; is that 7 correct? 8 A. Yes. 9 MR. GOLDBLATT; I object to the form. 10 BY MR. WODKA: (RESUMED) 11 Q. And it is our understanding, is it not, 12 that the MCA group wanted to meet with you in July, 1973 13 in order to inform you as to what they were doing about 14 vinyl chloride; is that correct? 15 A. Yes. 16 MS. BOSSE: I object to the form. 17 BY MR. WODKA: (RESUMED) 18 Q. And is it your understanding that they 19 wanted to bring you up to date on what they knew about 20 vinyl chloride? 21 A. I think so. . W 22 Q. When they came to meet with you on July 170 TV. ^ -H*- DERENBERGER & PAGE REPORTING, (301) 656-6060 INC BVG3^12 CD 149 1 1973, should they have presented to you Dr. Maltony's 2 data at 250 parts per million in writing? 3 MR. GOLDBLATT: I object to the form. 4 MS. BOSSE: I object to form. 5 MR. WODKA: You can answer. 6 THE WITNESS: Yes. 7 MR. WODKA: If they had done so, would that 8 have been of assistance to the agency? 9 MR. GOLDBLATT: I object to the form. 10 MS. BOSSE: I object to the form. 11 THE WITNESS: Yes. 12 MR. WODKA: Finally, Doctor, Ms. Bosse had 13 asked you a series of questions as to what would or would 14 not have happened had you received that information about 15 Dr. Maltony's experiments in July of 1973. And she asked 16 you a question as to what you thought OSHA would or 17 haven't have done. 18 Let me ask you this, if you had received 19 Dr. Maltony's data in July of 1973, would you without 20 question have issued at some point an alert to employers 21 of workers to workers and to unions who had members who 22 had exposure to vinyl chloride? W CfT O I'O DERENBERGER & PAGE REPORTING, INC (301) 656-6060 BFG37413 CO