Document 6byKw39O9JYGvaBqDGXKvpLXE
FILE NAME: RT Vanderbilt (RTV) DATE: 2000 Mar 2 DOC#: RTV056 DOCUMENT DESCRIPTION: Legal - Deposition of Julius Nemeth
file:///J|/Depo Import 2/NEMETH 03-02-00.TXT
1
IN THE CIRCUIT COURT
OF JACKSON COUNTY, MISSOURI
2
AT KANSAS CITY
3
PAUL JAMES MARFICE, ET AL.,)
4
)
Plaintiffs,
)
5 -v-
) ) Case Number
6
) 99 CV 206658
A .P . GREEN INDUSTRIES,
) Division 14
7 INC., ET A L .,
)
;
8
Defendants.
)
9
DEPOSITION OF JULIUS NEMETH
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Thursday, March 2, 2000
11
12 Deposition of JULIUS NEMETH, called by the
13 Plaintiffs for examination under the Missouri
14 Rules of Civil Procedure, taken before me,
15 the undersigned, Grace M. Hilpert, Registered
16 Professional Reporter, Notary Public in and
17 for the State of Ohio, at the offices of
18 Calfee, Halter & Griswold, 1400 McDonald
19 Investment Center, 800 Superior Avenue,
20 Cleveland, Ohio 44114, commencing at 9:32
21 a.m., the day and date above set forth.
22
CORSILLO & GRANDILLO
23
COURT REPORTERS
950 Citizens Building
24
Cleveland, Ohio 44114
216-523-1700
25
1 APPEARANCES:
2
On Behalf of the Plaintiffs:
3
Steven E. Crick, Esquire
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23 and add up and then we would know how much 24 was spent on dust suppression equipment, 25 correct?
153
1A
If the budget exists.
2
MR. IOLA: I will make those
3
requests for those.
4
MR. BOWERS: Mr. Iola, I will
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state that we have provided all
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documentation that we could locate
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responsive to the requests that have
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already been served.
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MR. IOLA: I'm not sure that
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the requests we previously gave would
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cover this, but to the extent they
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don't cover it, I'm asking you to see
13
if you have those materials.
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MR. BOWERS: We will look to
15
see if we have those materials.
16 Q
Now, you talked about -- when you were
17 talking about the supplier of talc certifying
18 that the talc did not contain asbestiform
19 fibers, do you recall that discussion?
20 A
Yes.
21 Q
Then you turned around and said you
22 switched suppliers regardless of the fact
23 that R.T. Vanderbilt told you that their talc
24 did not contain asbestiform fibers; is that 25 correct?
154
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1A
That's correct.
2Q
Why, if they assured you that it didn't
3 contain asbestiform fibers, did you still
4 feel compelled to switch suppliers?
5A
Because there was controversy
6 surrounding their talc and that of others.
7Q
Can you be more specific as to what you
8 understood to be the controversy regarding
9 R.T. Vanderbilt's talc?
10 A
As to whether or not the Tremolite was
11 asbestine or not.
12 Q
And were you aware that R.T. Vanderbilt
13 was fighting with the feds over whether or
14 not to classify their product as an
15 asbestos-containing product?
16 A
Yes.
17 Q
Are you aware that R.T. Vanderbilt
18 spent about $35 million from 1973 to 1980 to
19 fight with the government not to classify
20 their product as an asbestos-containing
21 product?
22 A
I was not aware of that.
23 Q
Did you ever ask the R.T. Vanderbilt
24 Company to provide you any expert reports of
25 people who helped them make the statement to
155
1 you that it did not contain asbestiform
2 fibers?
3A
No.
4Q
You were aware that the federal
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5 government felt that their talc was not clean
6 talc and it in fact did contain asbestiform
7 fibers?
8 A
That's why we switched, because of the
9 controversy. 10
_____
11
(Plaintiff's Exhibit 44
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marked for identification.)
13
_____
14 Q
Now, Mr.Nemeth, I'm going to hand you
15 what's been marked as Plaintiff's Exhibit 44.
16 It appears to be a letter or an intra-company
17 correspondence from you to Clarence Dunbrook
18 of April 26, 1974. Did I accurately describe
19 what that is?
20 A
Yes.
21 Q
Andthat's a memo from you telling Mr.
22 Dunbrook that you wanted included some
23 cautionary language on products that
24 contained asbestos, correct?
25 A
Correct.
1Q
A n d t hen the c a u t i o n a r y langu a g e is
2 reflected in this memorandum, correct?
3A
Yes.
4Q
W h e r e is the w or d " w a r n i n g " ?
5A
Not in t h e r e .
6Q
W h e r e is the w o r d "d e a t h " ?
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MR. BOWERS : Object to the form
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of the question.
156
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