Document 82E6k9GLYgzmNVXaXpmQ3vbpd
asbestos-containing automotive friction products manufactured and sold by Abex.
48. With regard to each product identified in answer to Interrogatory No. 1 or 8, state whether you have ever been named as a defendant in any other civil action, including Workmen's Compensation Actions, filing of Workmen's Compensation consent agreements, or other proceedings, to recover damages for injuries resulting from asbestosis and asbestos related pleural disease received as a result of using that product and, if so, for each proceeding;
(a) State the name and address of each plaintiff;
defendant;
(b) State the name and address of each co
(c) State the date it was filed;
filed;
(d) State the name of the Court in which it was
(e) Describe the judgment rendered;
{f) . State the date that has been set for trial of any case still pending;
(g) Describe the terms of any settlement reached before or during trial;
(h) State whether any appeal is pending from any judgment that has been rendered;
(i) State the exact nature of the condition alleged in such action to have resulted from the plaintiffs, of or contact with said product and identify the product involved;
use
(j) Identify each document which reflects, refers or relates to any information pertaining to that complaint.
ANSWER TO INTERROGATORY NO. 48: Abex objects to this interrogatory on the grounds that it is overly broad,, burdensome, lacks relevance to this Case and is not reasonably calculated to lead to the discovery of admissible evidence.
49. With regard to each product identified in answer to Interrogatory No. 1 or 8, state whether you have ever received a notijce of injury to any other person as a consequence of a
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