Document 7Q1MK5m57Gxq0eo8VgEZQVGg

RONALD CREAMER Page 43 1 on its products. 2 A. No. 3 MR. MCGUIRE: I'm going to 4 object because it's unclear what exactly you 5 mean when you seem to distinguish between a 6 need and a requirement. 7 BY MR. BARTELS: 8 Q. Setting aside the requirement, if there 9 was one for such a warning, do you know if 10 Motion believed that it was necessary to put 11 such a warning on its asbestos products at 12 that time? 13 A. In 1973? 14 Q. Yes. 15 A. , No. I don't know the answer to that. 16 Q. Again, I'm going to refer you to the 17 very same answer to question 11 down here 18 again. -I'm going to read it, and I'm going to 19 ask you if I read it correctly, and then I 20 have--some.,follow-up, questions-.-............. 21 A. Okay. 22 Q. "Research has indicated that since 1977 23 answering defendant has included in its 24 containers of asbestos-containing brake 25 linings, a statement which has the same or KNIPES COHEN VERITEXT COURT REPORTING 215-928-9300 WWW.KNIPESCOHEN.COM PHILADELPHIA, PA 292f5bde-7eba-40d0-94b5-1 e9d3 9Sb146f