Document 89dd5QLO0J1wbKwVGjmgrYEB
(a) Amount of insurance you claim you have from each company;
(b) Amount of coverage in dispute; (c) Amount of coverage not in dispute.
ANSWER TO INTERROGATORY NO. 41: 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.
42. If you or your insurance carrier have ever paid out money as a result of a court decree or jury verdict against you in a case in which the plaintiff asserted injury resulting from exposure to asbestos products mixed, manufactured, produced, processed, compounded, converted, sold, merchandised, supplied, or placed in the stream of commerce identify the:
(a) Court in which judgement was entered against you;
(b) Court docket number; (c) Plaintiff's name; (d) Plaintiff's attorney's name and address; (e) Amount of judgement; (f) Date judgement entered;
(g) Other defendants against whom judgement was entered.
ANSWER TO INTERROGATORY NO. 42: 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.
43. Do you have a medical department that performs occupational studies or reviews of worker's health? If so, describe:
(a) How long in existence; -32-