Document 8Vz8yGvK20ODyKp6NLgaRROVe
FILE NAME Owens Illinois OWILL DATE 1980 Aug 19
DOC OWILL089
DOCUMENT DESCRIPTION Legal - Deposition of Everett C. Shuman
IN AND FOR THE
In THE DISTRICT COURT DISTRICT COURT COURT COUNTY COUNTY BOULDER
PATTON PATTON GILMORE Plaintiff
Ve
MANVILLE PRODUCTS
CORPORATION
6
Defendants
Ue we ve
O0f8 CIVIL ACTION NO. 77-20912-1
ct se es
Everett C. Shuman
of
Deposition
|
Taken by
3
Defendant Qwens-Corning
Fiberglass Corning
:
Before
H
Date
Nota ry Public
Helena L. Bowes
August 19 1980 10:0 QO a.m..
14
Inn
Sheraton
lvania
Place
:
State College Pennsylvania
| J. PRESENT:
J. CONARD METCALF ,. Esquire
For - plaintiff
A. STANCATI Esquire
JOSEPH
Owens
For - Defendant
Corporation
For - Fiberglass
Corporation
Fiberglass
SERVICE, 118 MARKET STREET. HARRISBURG. 17101 PHONE
EIGER & LORIA REPORTING
|
717 234-2109 234-2109
{
:
au
.
EA
re
|
a
COUNTY OF DAUPHIN
2
COMMONWEALTH OF PENNSYLVANIA
:
4
I Helena L. Bowes Reporter authorized
5
to administer oaths and take depositions in the trial of
6 | causes and having an office in harrisburg Pennsylvania
7 | do hereby certify that the foregoing is the testimony of
Everett C. Shuman 8
9
taken by Deft Corning Figerglass
at the office of
10
Sheraton Inn State College Pennsylvania
11
I further certify that before the taking of said
12 | depositions the witness was
13
questions and answers were taken
duly
down
sworn that the
in stenotype by
the
14
said Helena L. Bowes a Reporter Public approved
15
and agreed to and afterwards reduced to typewriting under
16 | the direction of the said Reporter
I further certify that the proceedings and evidence
18
are contained fully and accurately in the notes taken by
19 | me on the within deposition and that this copy is a
20
correct transcript of the same
;
21
In testimony whereof I have hereunto subscribed
22
my hand this
26th
day of August
1980
23
.
o
-
Helena L. Bowes Reporter
25
L__._ GEORGE _ GEIGER REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
~
EVERETT C. SHUMAN called as a witness being duly sworn testified as follows
DIRECT EXAMINATION
BY MR HIGGINS
Q
A
Will you state your full name for the record please
Everett C. Shuman
-
A
How old are you
77
Q
10
A
11
Q
A
13
Q
14
A
15
Q.
16 time
Where do you presently reside
I live in State College Pennsylvania What is your present occupation Retired How long have you been retired 12 years
What is the general state of your health at the present
17
A
Fairly good for the age
DO
Are you married
|
A
Yes
Q
Do you reside with your wife at the present time
A
Yes
22
Q
What is the state of her physical and mental health
23
A
She's been mentally ill for about four years and is
24 incapable of doing anything for herself
L
25
Who takes care of her
r
LL
L
L_ GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
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A
I do
Q
What does your care entail
A Practically everything that needs to be done She can't feed herself and I have to take care of her personal needs
and dress her and undress her and do anything that you would for
example to an 18 month old child
Q
Is it your testimony then that she requires constant
supervision
A
Constant supervision I could leave her as now for
10 about two hours or so without too much trouble
11
Q
Would your responsibilities for her care make it
impossible for you to testify at the trial in this case on
13 September 2nd 1980
14
MR METCALF I object to the form of the question
15
MR HIGGINS Let me restate the question
ARTYN 16 BY MR HIGGINS
Er
ee
Aeea
17
Does your involvement in the care and treatment of your
ae
18 wife restrict your travel capabilities in any way
19
A
Yes it does
Q
In what respect
21
As it was mentioned I can't leave her for more than
about two to two a half hours then I have to go back attend to
her needs at that time
This goes on 24 hours a day
Q
Given the facts that the trial in this case will proceed proceed
25 on September 2nd 1980 in the County of Boulder State of
GEIGER & LORIA REPORting serviCE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109 -
~
Colorado would it be possible for you to testify at that trial
|
|
A
I don't see how
MR HIGGINS MR METCALF
I have no further questions
I have no questions on that aspect
MR HIGGINS
Let's go off the record
Discussion held off the record
MR HIGGINS : This is taken sort of pursuant to agree-
ment this deposition The ground rules are that no objections
will be reserved and that all objections will be made contempo-
10
raneously as we proceed through this deposition
11
MR METCALF I agree with the fact that the deposition
will be made contemporaneously and no objections are being re-
13 served
14
MR HIGGINS Do you have an objection to the taking
15
of the deposition Mr. Metcalf
16
MR METCALF
I have no objection to Mr. Shuman's
17 deposition being taken today or it being taken to preserve its
18 testimony for Corning Fiberglass only I do object to
19
video tape deposition in the absence of an order of court permittingpermitting
a video taped deposition being taken of Mr. Shuman 21 The Colorado Rules of Civil Procedure require that an
order of court be obtained before a video tape be taken
Plaintiff stands by and relies on that rule And by participating in Mr. Shuman's deposition today Plaintiff in no way waives or
25 intends to waive the requirement that a court order be obtained
GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
for the taking of a video taped deposition
I also want to reserve my right to cross examine the
witness in case we run short of time
physical and mental condition of Mr.
today in
Shuman's
view of wife
the
MR HIGGINS Objection so noted
MR HICKERNELL
This is reel number one in the depo-
sition of Everett C. Shuman P.E. The camera operator is Larry
Hickernell the stenotype reporter is Helena Bowes both of the
firm of Geiger and Loria Reporting Service Harrisburg Pennsyl-
|
10 vania
11
Today is Tuesday August 19th 1980 and the time is
10:17
a.m.
We are assembled at the Sheraton Inn in State College
13 Pennsylvania for the purpose of taking the deposition of Everett
14 C. Shuman P.E. Professional Engineer for the Defendants in the
15 matter Patton B. Gilmore versus Manville Products
16 Corporation et al
17
Counsel will now identify themselves on camera
18
MR HIGGINS My name is David Higgins and I represent
19 Defendant Corning Fiberglass Corporation
MR METCALF
My name is Conard Metcalf and I repre-
21 sent the Plaintiff Patton B. Gilmore in this case
And I suggest also that the video tape operator might make an alternative introduction of the caption being Patton
Gilmore versus Corning Fiberglass in view that the motion
25 is granted
L . _ GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
MR HIGGINS Why don't we start over again
MR HICKERNELL This is reel number one in the depo-
sition of Everett C. Shuman P.E.
The camera operator is Larry
Hickernell the stenotype reporter is Helena Bowes both of the
firm of Geiger and Loria Reporting Service Harrisburg Pennsyl-
vania
Today is Tuesday August 19th 1980 and the time is
10:20 a.m.
We are assembled at the Sheraton Inn in State
College Pennsylvania for the purpose of taking the deposition of
10 Everett C. Shuman Professional Engineer for the Defendant in
11 the matter of Patton B. Gilmore versus Corning Fiberglass Corporation
13
Counsel will now identify themselves on camera
14
MR HIGGINS My name is David Higgins I represent
15 the Defendant Corning Fiberglass Corporation
16
MR METCALF My name is Conard Metcalf
I represent
17 the Plaintiff Mr. Patton B. Gilmore
18 BY MR HIGGINS
19
Q
Mr. Shuman will you state your full name for the
record please
21
A
Everett C. Shuman
Q
What is your present address
A
State College Pennsylvania
How old are you
25
Q 77
~~GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
7
.
0
A
Are you presently employed
I'm retired
Q
How long have you been retired
A
12 years
Q
Mr. Shuman would you describe for us your educational
background please
A
Grade school and high school were in Milwaukee
Wisconsin Attended the University of Wisconsin at Madison and
obtained a degir n e cive il engineering in 1924 and a master's
10 degree in civil engineering in 1926
11
Q
While in college did you work other than going to
school were you employed at any time during that period
13
A
I had worked prior to the university for a civil
14
engineer by the name of H. C. Webster
15
Q.
In what capacity
16
A
I was an assistant to the surveying crews
17
Q
Upon graduation from the University of Wisconsin did
18 you become employed
19
A
Yes
I was employed by the Portland Cement Association
Research Laboratory Chicago
21
Q
Would you summarize for us your employment history
from the time of your graduation from the University of Wisconsin
|
to your retirement
A
From 1926 to 1938 with an interruption in between I was
25 in the research laboratory of the Portland Cement Association as
~ GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
~
research engineer doing research on concrete and Portland cement
And was also in charge of equipment and facilities for the
laboratory
After 1938 I was head of civil engineering at Louis
Institute in Chicago until 1941. This was a full course civil
engineering curriculum
In '41 I joined the research laboratory of North Atlantic Atlantic
1
Division of Army Engineers at West Point After Pearl Harbor
1
the laboratory was moved from West Point since it was not
10 literally a part of West Point but merely another part of the 11 Army Engineers to Mount Vernon New York where we continued
12 research in concrete as applied to the war effort
13
In 1941 I joined Illinois Glass Company at
14 Berlin New Jersey as a research engineer in the development of
15 calcium silicate thermal insulation
16
Q
What year was that
17
A
1944 I joined Illinois
18
Q
Go ahead
19
And so from 1944 to about 1950 I was located at the
Berlin plant engaged in research and development of calcium
21 silicate
In 1950 I was moved to the home office in Toledo where
I was a director of research of the division where I continued
this
And was employed there also as a consultant to the sales
25 department until 1958 when the division Kaylo division was bought
~ GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
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by Corning Fiberglass Corporation
So from 1958 until '61 I was employed one year in
Toledo and two years in New York by Corning Fiberglass
Then I joined the Pennsylvania State University in
1961 in the Institute for Building Research in the College of
Engineering where I remained until retirement at age 65 in 1968
Q
Where is Pennsylvania State University located
A
In State College Pennsylvania
Q
As I understand your testimony you were employed by
10 Illinois Glass Company from 1944 until 1958 is that
11 correct
A
That's correct
13
Q
Then you were employed by Owens Fiberglass Corporation
14 from 1958 until 1961
15
A
That's right
16
Q
Were you ever employed by either of those two companies
17 at any time other than what you testified to
fl
A
No.
19
Q
To your knowledge is there any corporate association
between Corning Fiberglass Corporation and Illinois
21 Glass Company
MR METCALF
Object to lack of foundation
BY MR HIGGINS
Q
If you have any knowledge go ahead and answer the
25 question
"
G~EIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
10
A
My understanding is they're two entirely separate
companies
Q
Mr. Shuman when did you first become aware of thermal
insulation that contained asbestos
A
Well quite early because pieces of equipment that I
would build it involved insulation were insulated with the
materials that were on the market at that time
Primarily 85
percent mag which is the trade name for that material and so it
contained asbestos
10 But my first awareness of asbestos was when my parents
11 built a Miliwna Miu lwk auekeee and the heating system was insulated
and asbestos was used in that process
But so far as using it
13
commercially myself it wasn't until later when I was involved
14 in insulating heated equipment
15
Q
When did you become involved in insulating of heating
16
equipment
17
A
At the Portland Cement Association was the first time
18 in which I was insulating a dryer for the drying of concrete
19
aggregates
You testified that you started working for Owens
21 nois Glass Company in 1944.
Do you know whether or not -- first
of all what did the Kaylo division of Illinois Glass
Company do what was the function of that division
A
That division was making thermal insulations and
2525 associated products with calcium silicates
~ GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
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11
1
--
Did these insulations contain asbestos
A
Yes they did
Q
Do you know how long before you became employed at
Illinois Glass Company in 1944 that Owens Illinois was in
that business of making asbestos containing insulation products
MR METCALF I am going to object there's no
foundation means of knowledge
BY MR HIGGINS
Q
10
A
11
A
13 Seldon
If you know
It was my understanding they started in 1943
How did you learn of that
By the man who had hired me for Illinois John
14
Q
John Seldon
15
A.
n
16
O
How did he relate to you this information
17
A
This was during the interviews in which he was hiring
18 me and giving me kind of background in what they were doing and
19 the kind of work I might be interested in doing
Q
Would it be fair to say then that as far as you know
21 Illinois began to make asbestos containing insulation
approximately a year before you came employed by Illinois
leading MR METCALF Object to the form of the question as
25
GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
~ 12
BY MR HIGGINS
Q
Go ahead answer that
A
As far as I know it was in 1943 about a year before
' What were the circumstances surrounding your being
interviewed and subsequently becoming employed by Illinois
A
As I testified I had worked for a number of years in
the research laboratory of the Portland Cement Association
And Portland cement is a complex calcium silicate And Mr.
Seldon was aware of the work I had done there and so he phoned me 10 while I was in Mount Vernon New York and asked whether I would
11 be interested in coming with them to make this new hydrous
calcium silicate thermal insulation
13
MR METCALF
14 BY MR HIGGINS
Move to strike hearsay statements
15
Q
You
may
proceed
16
A
So then it was at that time he had given me the
17 background of how they had gotten into the operation
18
Q
What was your job title when you first became employed
19 at Illinois
A
Research engineer
'
21
Q
In that capacity as a research engineer for Owens-
Illinois did you become aware of other asbestos containing insu-
lation products that were on the market at that time
A
We of course were aware of whatever thermal insulations
25 were on the market and would get samples or would have people
GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
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13
get us samples
And then from those we found out that several
of them did contain asbestos
Q
Would you describe for me please what those other
asbestos containing thermal insulation products were that were
on the market either by trade name or by characteristics
A
The principal one was 85 percent magnesia which was
shortened to 85 percent mag and there were several manufacturers
who made that product such as Manville G. B. Madison
Ehret and others
There were two others that we were aware of
10 that made calcium silicate
One was Pabco in California and
11 Ruberoid which is Glou in c Gle ousct ese terr Jersey Then there
was another one that made their insulation out of almost entirely
13 Africian asbestos under the trade name of Unibestos
14
Q
Did you ever come to learn how much asbestos any of
15 these products contained
this 16
MR METCALF I am going to object to
line of
17 questioning as being irrelevant
18
MR HIGGINS In response to that is it's most relevant
19 because one of the issues in this case is your client's prior
exposure to asbestos containing products And here's a man who 21 has personal knowledge of what products were in the market as
early as 1944.
So I think it's most relevant
MR METCALF
Fine if you can lay a foundation that
Mr. Shuman has knowledge of what products Mr. Gilmore worked then 25 it becomes relevant otherwise I stand on the objection
Sr GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
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14
MR HIGGINS witnesses
That will be established through other
|
MR METCALF BY MR HIGGINS
Then I object
Q
Mr. Shuman did you come to learn how much asbestos
these other products contained
A
We analyzed them roughly not down to precise values to
find out about how much asbestos they were using because we were
using asbestos too
And most of their's as I recall were on the
10 order of 20 percent by weight of asbestos fiber
11
Q
What products had 20 percent by weight of the asbestos
fiber
13
MR METCALF Can I have a continuing objection to this 14 line of questioning so I don't have to repeatedly interrupt after 15 each question
16 MR HIGGINS
17
objection
Again would you state the grounds for the
18
MR METCALF The objection is that it is totally
irrelevant to the issues remaining in this case as to what other
products may or may not have been on the market what asbestos contents they had without some foundation at the minimum that this witness has knowledge of whether or not Mr. Gilmore worked
for these products at any time or whether or not these products
were either the sole case of Mr. Gilmore's asbestosis or that
there's some reasonable medical basis for a portionment of his
~~ GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
15
injury between exposure to Kaylo and exposure to other products
MR HIGGINS
I stand on my earlier response to your
objection and I will allow a continuing objection
BY MR HIGGINS
Q
Again Mr. Shuman to your knowledge which products
contained something in the neighborhood of 20 percent asbestos
fiber
MR METCALF I object to the form of that question
or You said by weight there may be a difference if you're talking
waght
10 about
volume
11 BY MR HIGGINS
Q
Will you describe what you mean by 20 percent
13
A
The usual way of describing it is such and such a per-
14
cent by weight of the product
So that if we're broken down
15 into components the asbestos will be in the neighborhood of 20
16
percent by weight of the total product
17
Q
What products on the market at that time had asbestos
18
with 20 percent asbestos by weight
19 A The one that we were familiar with were the 85 percent
mag a high density diatomaceous earth material which think
had the trade name Super X.
Unibestos which of course was very
22
high in asbestos content probably 80 to 90 percent
23
were the principals ones
But those
24
Q
Are you familiar with the term asbestos
cement
25
A
Well asbestos cement is a dry product that is made
~ GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 _ PHONE 717 234-2109
1
1
<<
aimlent,
=
idemites
16
asbestos with
fibers and Portland cement and maybe some other
minor constituents to which water is added to form what the
trade usually calls a mud which is used to fill in cracks and
crevices or to form around irregular shapes
Q
During the 1940's when you were working for Owens-
Illinois Glass Company did you have occasion to see asbestos
products being used at the work place asbestos containing
A
I was out in the field from time to time and actually
saw the material being used
10
Q
Did you ever see asbestos cement being used
11
A
Yes
12
a
Could you describe how it was used
13
A
Well it usually came in bags so that a bucket of water
14 was filled by grabbing hand fulls of cement or either shaking it 15 into the bucket and stirring it to make the consistency that 16 the applicator wanted to use so that it had good adhesion and
17 yet was tenacious enough so that it wouldn't slip off And so
18 then this was used to fill the cracks between the thermal insu-
19 lation that had been applied preformed and also to form it around
irregular shapes such as elbows and T's and other fittings
21
Q
Did you have occasion to observe whether or not dust
would be generated by this process using asbestos cement
A
There was a certain amount of dust that would arise
when the material was taken out of the bags and either dropped
25 into or shaken into the bucket of water
~GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
17
-
Did Illinois manufacture asbestos cement
A
No we did not
Q.
Q.
Did you ever have occasion to see 85 percent mag
thermal insulation being used in the field during the 1940's
A
Yes
Q
Could you describe how it was used
A
85 percent mag is a preformed product so it's formed
into pipe insulation which is half sections that would fit around
a piece of pipe or into block which is 36 inches long and of
10 several thicknesses and usually about six inches wide
And so
11 those were applied by various means wires sometimes by welding
on little logs and so on to hold the material on to the vessel
13
Q
Did you ever have occasion to observe whether or not
14 any dust was generated pursuant to the use of 85 percent mag
15
A.
There would be dust particularly if the piece had to
16 be sawed to fit the particular length And this was done with
17 an ordinary hand saw
18
'
To your knowledge was Corning Fiberglass Corpo-
19 ration in existence at this time
A Yes '
21
Q
Talking now in the period of the 1940's
A Yes it was
Q
Do you know whether or not they were making any
asbestos containing insulation products at that time
25
A
I don't know of any
GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
18
0 Do you know whether or not they were making any A No I don't know if they were making any at all product was primarily glass fiber
Their
Q
You indicated that when you began working for Owens-
Illinois Glass Company the only product that was being made by the Kaylo division was Kaylo
A
Yes
Q
Would you describe what Kaylo is and what it was at
that time
10 A You mean process
11 No it's components what it's made up of
A
The components are primarily lime and a siliceous
13 material which was usually diatomaceous earth
14
Q
What does siliceous mean
15
A.
Silica Diatomaceous earth and then asbestos fibers
16 and water which is mixed in a slurry
17 Q You stated that it contained asbestos Do you know 18 what kind of fiber was used what kind of asbestos fiber was
19 used
A
It was primarily chrysotile
21
Q
What is chrysotile
A
That's a geologic name for a formation of asbestos
Q
Are there more than one formations of asbestos to
your knowledge
25
A
Yes there's several
~ GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109 _| ..
19
Q
What was the percentage of asbestos in the Kaylo in
this period of time
A
Over a period of time I would say it was on the order
of 18 percent by weight
|
Q
Was this percentage of asbestos by weight more or less
than the percentagoef asbestos by weight in other products such
as 85 percent mag
A
From the samples we tested this was a little bit less
than what they were using
10
Q
What was the process at Illinois by which Kaylo
11 was made during the time that you worked at the Kaylo division
of Illinois
13
A
The procedure is after this slurry is made and of course
14 the amount of water determined the end product density the
15 material is then put into autoclave which is a high pressure
16 cylinder
And so the reaction then between the lime and the
17 silica takes place at these elevated temperatures it would not
18 take place at room temperature
19
After the material is in the autoclave long enough for
a reasonably complete reaction of lime and silica it's removed
21 Of course it comes out wet and it has to be dried
And after
drying it would be sized so that it could be cartoned for
shipping
Q
How would the asbestos be added to this slurry that
25 you described
~~~ GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
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coe
20
the
A
size
Asbestos came in bags and of the batch and then just
they would be preweighed dumped into the mixer
for
Q When you started working for Illinois to your
knowledge was Kaylo being produced in commercial quantities
A
That's difficult to say because I think they were
making it enough so that it could be -- that it was sold but more
or less only for short distances Like for example to con-
tractors in Philadelphia and nearby Pennsylvania areas and New
Jersey
10
Q
You called this a calcium silicate product
11
A
Yes it's usually referred to in the industry as
hydrous calcium silicate
13
Q
What is unique about a hydrous calcium silicate product
|
14
as compared to something like 85 percent mag
15
MR METCALF Object to the form and object to the
16 basis of no foundation
17 MR HIGGINS
18
BY MR HIGGINS
Let me restate the question
19
Q
Kaylo was a hydrous calcium silicate product Do you
know what 85 percent mag was
21 A
22 fibers
It's primarily magnesium carbonate plus asbestos
Q
What is the difference between a magnesium carbonate
24
thermal insulation and a hydrous calcium silicate thermal insula-
tion
~~ GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
21
A
Thermally they'd perform about the same But one of
the large advantages of the calcium silicate is that it is
suitable to much higher service temperatures 85 percent mag
has usually
Whereas the
considered been
to be suitable to around 450 degrees
calcium silicates go up to about 1,200 degrees
So that for equipment that would operate at temperatures
above 450 it would require some other material in conjunction
with the 85 percent mag so you'd have to use two different
materials at the same time Whereas with calcium silicate you
10 could do it all with one Another advantage of the calcium 11 silicate was that by being suitable up to 1,200 degrees the
material that was used in conjunction with the 85 percent mag
13 was much higher density so the diatomaceous earth block might
14 have a density on the order of 20 or more pounds per cubic foot
15
So that on vessels where tonage was important the saving in
16
weight by the use of calcium silicate was important
17
O
When you're talking about hydrous calcium silicate
hydrous 18
Kaylo was a
calcium silicate product
19 A Yes
20
Q
Did Kaylo have the same advantages that you just des-
21 cribed generally for calcium silicate products
A
Yes I think that in general all the calcium silicate
products are about the same in properties
Q
Were hydrous calcium silicate thermal insulation
25
products developed before or after magnesium carbonate products
GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
- 22
A
After
Q
As I understand your testimony when you joins Owens-
Illinois they were just then in the process of developing and
commercially marketing Kaylo is that correct
MR METCALF
summarizing testimony
Object to the form and object to counsel
BY MR HIGGINS
Q
Go ahead and answer the question
A
Well repeat it please
10
Q
What was the extent of the sales and marketing of
11 Kaylo at the time you joined Illinois if you know
A
The sales was a minor operation at the time because
13 they were just trying to get the volume of the production at the 14 plant up so that you could fill orders because it's well known
15 that you have to have the capacity to supply all the needs for 16 a particular job because it's usually undesirable to have
17 different materials on the same job You have contractors it
18 becomes a headache to them
,
So they would prefer to buy -- if
19 they have contracted for a product that that product be in
sufficient supply that they could do the job
21 we could do only enough to do small jobs
So at the outset
Q
At the time you joined Illinois in 1944 what was
the most know
used
asbestos
containing
thermal
insulation
if you
25
A
I would say 85 percent mag
~ GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
Q
What was the extent of the development of the Kaylo
as a commercially feasible product when you joined Illinois
in 1944
A
They were already making a product and of course as
part of research the product was improved as more and more was
learned about chemical reaction
But to all intents and purposes
the calcium silicate product had the properties that were pre-
sented to purchasers insofar as thermal performance is concerned
and the handability density
10
Q
What if any other advantages did Kaylo have over say
11 magnesium carbonate products
12
MR METCALF Object to the form
13
A
Well one of the advantages that we learned from the
14 field was that in cutting and handling it it made less dust just 15 by the inherent properties of calcium silicate
16 BY MR HIGGINS
17
Q
What inherent properties are there about calcium
18 silicate that makes it less dusty than other products
19
A
I think it's a stronger product so that it wasn't as
friable as the other materials
:
21
Q
Would you explain to the court and jury what friable
means
23
It means that it's rather brittle and it would break
easily or the edges would rub off easily which is always a part 25 of the handability
~~G-EIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
ame
\w
24
1940's Q
Were you aware in the
when you worked for Owens-
Illinois what the tion products
friabilitoyf other
asbestos
containing
|
insula-
A Only in general terms because at that time there was no
tests for the Naval
that product
laboratory of
later on the test procedure developed by
Annapolis
It became an ASTM standard
test
8
Would you describe for the court and jury what ASTM means
9
A
ASTM stands for the American Society for Testing and
10 Materials
11
Q
Did you ever have occasion to witness an example of
friability of say something like 85 percent mag
13
A
In my own experience they were saying when they would
14 insulate the outside of dryers which were round and circular
four 15 vessels three or
feet in diameter and ten feet long again
16 the handability particularly when you're trying to get it to fit
17 around irregular surfaces and fittings meant that you had to be
18 careful or it would break
Q
Where did Illinois obtain the asbestos that it
used in the fabrication of this Kaylo product
'
21
MR METCALF Object to relevancy
A
Most of it was purchased from Manville Corporation Corporation
BY MR HIGGINS
Q
Where was the remainder purchased if you know
25 A Well there were times when we had tried some other
~ GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
~
25
asbestos from other sources but they were so minor they were
abandoned so it was practically all Manville material
Q
Whi youlwee re at Berlin at the Berlin plant from 1944
to 1949 were you ever made aware of any health hazard associated
with the insulation of asbestos fibers
A
Nope
During the period from 1944 to 1949 was anyone else
making a hydrated calcium silicate asbestos containing thermal
insulation
10
A
Ruberoid and Pabco were
11 I was aware of
Those are the only two that
Q
After 1949 did any other manufacturer commence to manu-
13 facture --
14
A
Somewhere in there and I don't know the precise year
15
Manville also made a hydrous calcium silicate --
16
MR METCALF Again I am going to object to this line
17
of questioning on the basis for relevancy as earlier stated
BY MR HIGGINS
19
Q
What is the trade name for the hydrous calcium silicate
product that Manville manufactured
21
A
I think it's Thermobest
22
Q
Mr. Shuman you indicated that on various occasions
23
while you worked for Illinoiys ou would be out in the field
examining and watching the workers using various asbestos thermal thermal
insulation products is that correct
me
~ GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
ier"
rey
- '26
MR METCALF I object to the form of that question
And I object to counsel's summarization and object to counsel's
characterization of the other testimony
MR HIGGINS I will restate the question
BY MR HIGGINS
Q
While you were working for Illinois did you ever
have occasion to be out in the field observing installers install
asbestos containing thermal insulation products
A
Yes
10
Q
Did you observe the tools of trade that were used by
11 the insulators
A
These were the tools of the trade that had been invoked
13 for many many years which would be knives and small saws pri-
14
marily
15
Q
Was there anything unique about Kaylo that required
16
different tools of the trade
17
A
They used the same tools of the trade
18
Q
What about the installation method they the same
19
for Kaylo as for other asbestos containing thermal insulation
A
Yes they were the same
Q
While you were at Illinois was there ever any
the 22
attempt made to find a substitute for
asbestos in Kaylo
23
A
Yes there was because asbestos is the highest priced
ingredient and as any production person would be trying to get
25 the cost down without sacrificing properties And so while there there
~ GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 _ PHONE 717 234-2109
ead
was no one person assigned to the product any time anyone had some
idea to what might be used in place of asbestos it was looked
into
Q
Was there an ongoing effort to change or improve the
produce in any way
MR METCALF Object to the form
MR HIGGINS BY MR HIGGINS
I will restate the question
Q
What if any efforts were being made on the part of
10
Illinois to change modify or improve the product in any
11
way
A
The principal angle of course would be to get the
13 thermal conductants or the thermal resistance as low as possible
14
and maintain the handability and to accomplish this at a low of
15
cost as possible So the changes that were made in investigating
16
of raw materials were for the purposes of ending up with the
17
highest qualify calcium silicate at the lowest price
So this
18 was going on all the time while there was some possiblity of
19 finding other raw materials that might be suitable
Q
What other raw materials were used or did Illinois Illinois
attempt to use as a replacement for asbestos
A
Well
we
used
first of
all
the glass
fibers
since
glass
glass
23 fibers are silicate but they didn't work because the lime
24 attacked the silica of glass just like it would the silica that
25 had been added and so the fibers had lost their strength so the
GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
we
\
1 H 1
. 28
glass fibers wouldn't work
|
Then mineral wool was also tried
but their fibers were too thick and they didn't disburse very
well in the slurry
And then organic materials were used such as bagasse
and wood fibers such as might be used in papers as organic
material
All of these were tried to see what kind of product
would result
Q
While you were at Illinois was an adequate or
reasonable substitute ever discovered --
10 MR METCALF 11 BY MR HIGGINS
Object to the form
-- for replacing the asbestos fiber
13 A If you would accept that the materials were non-
14 mineral then some of the organic fibers would make a suitable
15
product
But if the user for example would prefer that it be
16
all mineral then of course asbestos was the only one that would
17 work
But we knew if there ever was a time that we'd have to
18 abandon the asbestos that organic fibers would work
19
Q
Were you aware of the fact that in 1958 the Kaylo
division of Illinois was acquired by Corning Fiber-
21
glass Corporation
A
Well I heard it on the radio
Q
Did you have any involvement in the decision in the
acquisition at all
25
A
None at all
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~
29
Q
In 1958 you became employed by Corning Fiberglass
Corporation is that right
A
Right
Q
Would you describe what the nature of your job was
for Corning
A
Well I was used in the sales department as a consultant consultant
to help the sales people and of course with the acquisition many
of the sales people weren't entirely familiar with Kaylo and its
properties So I would help any of the sales people or the sales
10 offices that requested help as a consultant
11
Q
Did your job duties at Corning include any
f
research or engineering
'
'
13
A
No.
14
Q
You said that the sales people would contact you
15
A.
Yes
16
Q
Would they be privy to information about what was going
17 on on the job site to your knowledge or what would be the nature 18 of their contact what would they discuss with you
19
A
In general a salesman would be contacting contractors
and if the contractor were to ask questions that were technically
21
a
little
above
them
then
they would merely
say
to
the
contractor
we'll get someone that would help and I would be called
Q
Would you ever contact or have communications with the
contractors directly
25
A
If the salesman wished it yes
L. GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
'30
Q
Would you field complaints about the product about
Kaylo and about its servicability and usefulnesosn particular
jobs
A
If that came up as a question from the field it would
be relayed to me and then either I would answer it directly to
the salesman or if it was important enough then I would go with
the salesman out into the field
Q
Did you ever in your capacity as manager of engineering
engineering
services for Corning Fiberglass Corporation did you ever
10
receive any complaints about the dustiness of Kaylo products
11
A
No.
MR HIGGINS
Could we go off the record for a second
13
Discussion held off the record
14 BY MR HIGGINS
Q
Mr. Shuman in your experience as a civil engineer
16
are you familiar with the concept of solubility as it relates to
17
asbestos containing thermal insulation
18
A
Of solubility is the chemical term and you're
19 familiar with it in that sense
Q
How is the term solubility used in connection with
21
the asbestos insulation business
22
A
The solubility enters in from the standpoint of so-
23
called accidental service that is accidental wetting of the
material A material that has lower negligible solubility can
25 be wet and of course it loses its thermal value at the time then
"
GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
31
if it dries out of course it still will perform Whereas other
materials that are partially soluble may actually disintergrates
enough so that they do not remain on the line
Q
Is solubility an important concept in the field of
asbestos thermal insulation
MR METCALF Object to the form
A
Well it's important from the standpoint of servicability
under the called accidental conditions because in large
industrial plants you can never tell when something may happen
10 that will wet the lines
And if the material is insoluble why
11 no particular harm is done whereas if it is soluble the
material may have to be replaced
13 BY MR HIGGINS
14
Q
During the 1940's while you were employed at Owens-
15 Illinois did you have occasion to make any comparisons in solu-
16 bility between a product like hydrous calcium silicate and
17 product like 85 percent mag
18
A
Yes because we would wet both of them to see what
19
their reactions were In fact in the field it was characteristic charcteristic
to take the 85 percent mag and break it up into chunks in a
21 bucket of water and make called mud which is then the
material that was put on as I said before in filling cracks and
23 crevices
Q
What if anything does that say about the solubility
25 of the 85 percent mag-
~~~ GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
~+J
'32
It was much higher than calcium silicate would be
Q
What would the calcium silicate product do upon exposure
to say water in bucket as was described
A
Well of course it would absorb a large amount of
water because its density is only about 12 pounds per cubic foot
But if you take it out and dry it you'd still have the product
back
Q
You would not have this crumbling effect as you just
described
10
A
No in fact at one time a plant was inundated in
11 flood and pieces of the calcium silicate was dug out of the mud
and were washed off and dried and they were just as they had
13 been before
14
Q
You were testifying about the concept of friability and
15 I think I misunderstood your testimony
16
Did you have occasion during the 1940's to compare the
17 friability of a product like Kaylo calcium silicate hydrous
18 calcium silicate product like Kaylo to a product like 85 percent
19 mag
A
This was part of handability
In other words if you
21 handle it and we actually would put pieces on pipes in the plant
merely as training of salesmen for one thing but in order to get
23 some sense of handability of the materials
And of course then
the difference between the friability of calcium silicate which 25 was very low and the higher friability of 85 percent mag was
GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
33
rather evident
Q
Is that to say that one product crumbles more readily
than the other
A
Yes
Q
Which crumbles more readily
A
The 85 percent mag would crumble more easily than the
calcium silicate
MR HIGGINS Off the record again
Discussion held off the record
10
MR HIGGINS
11 questions
Thank you Mr. Shuman
I have no further
CROSS EXAMINATION
13 BY MR METCALF
14
Q
Mr. Shuman my name is Conard Metcalf I represent
15 plaintiffs in this lawsuit whose name is Patton B. Gilmore
16 I will be asking you some questions today if I ask a question
17 you don't understand ask me to rephrase it
If I ask you a ques-
18 tion that you don't hear please ask me to repeat it so that when
19 you give an answer why we all know that you've heard and under-
stood the question
21
Is that fair enough
22
A
Yes
Q
Because I've not had a chance to take what we lawyers
call a discovery deposition to find out what your testimony is
25 going to be my questions today may be somewhat groping and slow
~G~EIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
~
- 34
paced so I hope you'll bear with me
A
Certainly
Q
Mr. Shuman let me go back initially to the time you
joined Illinois
Do I understand that was in 1944
A
That's right
Q
At that time your office was at the Illinois
manufacturing facility in Berlin New Jersey is that correct
A
That's right
O
What was your title
10
A
When I started it was research engineer
11
Q
As research engineer to whom did you report Mr. Shuman
A
To start it out to this Mr. John Seldon whom I had
13 mentioned before and then he got different assignmenatnsd later
14 on it was to U. E. Bowes who was director of research of Owens-
15 Illinois
eee
16
'
State for us to the best of your recollection Mr.
17
Shuman when you first began reporting to Mr. U. E. Bowes
18
A
This is just a few months after I had come there in
19 1944
Q
Then before 1945 you were reporting as a research
21 engineer to Mr. Bowes
A
Right
Q
Mr. Bowes position was director of research
A
Of Illinois Glass Company the whole company
25
Q
Director of reserach for Illinois Glass Company
~GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
35
A
Right
Q
For what period of time did you report to Mr. Bowes
A
Continually until he became ill and I can't remember
the year so that this would be later in the 40's And I think
then Mr. Tom Collins became in charge of the Kaylo division and then I reported to him
Q
Where were Mr. Bowes offices located
A
Toledo Ohio main office
Q
Then do I understand from about sometime in 1944 until
10
the late 1940's you reported directly to Mr. Bowes and got the
11
assignments directly from Mr. Bowes
A
Yes
13
Q
Did your position change from research engineer in
14
1944 at any time before 1958
15
A
Yes from 1947 to '49 I was plant manager
So I was
16
in charge of the laboratory and the plant operation
17 Q
18
Berlin
When you say plant manager you're
New Jersey
talking about
the
19
A
Berlin New Jersey plant from 1947 to 1949
Q
After 1949 what was your title
21
A
I of course had been in effect director of research all
the time so then since I was moved to Toledo in 1955 I merely
used the title director of research
Q
Was that in 1950 when you went to Toledo as director
25 of research were you director of research for the entire Owens-
"~~ GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
'
36
Illinois Company or was that director of research for the Kaylo.
division of Illinois
A
For the Kaylo division for Illinois
Q
In 1950 was there a director of research for the entire
Illinois Company
A
Yes I'm trying to think of his name but I can't right
at the minute
But there was a director of research who took the
place of Mr. Bowes
Q
From 1950 until 1958 while you were employed by Owens-
10 Illinois did your position change from director of research
11
A
No because this also included my consulting to the
sales department So that the work which was done in the division
13 laboratory at Berlin that still continued so I would travel to
14 Berlin from time to time as necessary
Q
Approximately how often would you travel from Toledo
16 Ohio to Berlin New Jersey in a given year between 1950 and 1958p
17
A
I would say roughly twice a month it would vary some
18 months less and of course some months more but it was on that
19 order
Q
Are you familiar with an
Laboratory in Saranac New York
entity
known
as Saranac
22 A Yes
23
'
When did you first become familiar with Saranac
24
Laboratory
25
A
I can't remember the year but it was explained to me
GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
37
that the company had a policy of being avoid any hazards that it could avoid
careful in its plant to
|
So they employed the
called Saranac Laboratory which as I understand a large in-
dustrial research laboratory that looked into hazards in plants
And Illinois had employed them for a number of years as
I understood it
Q
Did you yourself have any direct contact with Saranac
Laboratory or representatives or employees of Saranac Laboratory
A
Only in the secondary way when they asked for a sample
10 of Kaylo dust that I then as plant manager arranged for that to
11 be sent to them
But I never went to the Saranac Laboratory
Q
At some point between 1947 and 1949 you caused Kaylo
13 dust to be sent to Saranac Laboratory
14 A That's right
15
Q.
Did you ever obtain or see any results of any analysis
16
done on the Kaylo dust that you sent to Saranac Laboratory
17
A
Not until a recent deposition I was shown the ones
18 The only thing I ever heard was verbal
19
Q
When you heard verbal reports of the results of analysis
or testing of dust you sent from whom did you hear those reports
William Hazard 21
A
I think from Mr.
I think he was health
physicist or some name like that I don't know his official title
--
Was Mr. William Hazard an employee of Illinois
A
Yes
25
Q
Was he an employee of Illinois as long as you
Fee
GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
amdeonlguatds beebactLe
'
38
were an employee of Illinois to the best of your knowledge
A
To the best of knowledge that the whole period he was
in the same activity of checking on plant operations
Q
|
Did Mr. Hazard come to the Berlin plant while you were
officed there between 1944 and 1949
A
Yes
Q
About how often did Mr. Hazard travel or visit the
Berlin New Jersey plant between that time
A
It varied because he didn't have any called set
10 schedule it was more a case of if there was something that
11 needed to be looked at Or for example if he suggested that some
changes be made in the plant then he would come back to see that
13 we had made them and the results suited what his analysis had
14 dictated
15
Did he between 1944 and 1949 make suggestions with
16 regard to installation of ventilation or exhaust equipment along
17 the Kaylo production line in the Berlin New Jersey plant
18
MR HIGGINS Object to the question it's outside the
19 scope of direct examination it's hearsay it requires a hearsay
response based on hearsay And it's totally irrelevant to the
21 issues in this case
MR METCALF I'm willing to give you a continuing objection to hearsay
BY MR METCALF
25
Q
Do you remember the question
| GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
39
A
Only partially
Q
My question was whether Mr. Hazard to your knowledge
between 1944 and 1949 made any suggestions with regard to instal-
lation of ventilation equipment in the Berlin New Jersey plant
along the Kaylo production lines
MR HIGGINS And the same objection
A
Well Bill Hazard's function wasn't to tell us how to
do it but what he was concerned with was the result
If he felt
that the condition in a certain area was undesirable then he
10 would say this it would have to be changed
And then we would
11 change it and he would check to see if we had the change
But
the facilities that was the mechanical facilities was not of
13 his concern
14 BY MR METCALF
15
Q
As a result of any particular visits that Mr. Hazard
16 made to the Berlin New Jersey plant between 1944 and 1949 did
17 you cause ventilation or exhaust equipment to be installed along
18 the Kaylo production lines in the Berlin New Jersey plant
19
MR HIGGINS Same objection May I have a continuing
objection to all questions concerning the Kaylo production line
21
MR METCALF Sure
BY MR METCALF
Q
You can answer
A
Would you mind repeating
25
MR METCALF Could you repeat the question
GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
40
Question read back by stenographer
A
We were enlarging the plant continually and of course
equipment then would be installed and so that it was only after
something had been running that Mr. Hazard would then check to
see that it was suitable
Then he would comment it was acceptable
or not as the case may be
But the installations we were doing
all along because again that was part of the plant as to minimize
the amount of dust that was in the area
BY MR METCALF :
10
Q
What was the purpose for trying to minimize the amount
11 of dust in the area
A
This was just policy that the company had was that the
13 dust should be down at low levels because it was recognized in 14 the industry that dust was a hazard regardless of what the dust
15 might be
16
Q
Did Illinois have a production facility at
17 Sayreville New Jersey
18
A
Yes it did
19
0
What was produced at Sayreville New Jersey Owens-
Illinois plant
21
A
That was a calcium silicate of heavy density that was
used as roof tile
That was different than the material produced
in Berlin which is thermal insulation
Q
Mr. Higgins asked you about what the process was for
25 producing the Kaylo in the Berlin New Jersey plant
~ GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
~
41
What was the process for producing the material that
was produced in Sayreville New Jersey
A
Same process
O
In other words it was a wet slurry
A wet slurry that was indurated and then dried
By the way have you ever seen 85 percent mag insulation
being manufactured
A
No.
Q
Do you have an understanding that it's manufactured
heating
as
10 by a wet slurry premolded process
11
A
I understand it's by a wet slurry process
Q
In the Berlin New Jersey plant where Kaylo was made
13 Mr. Shuman let me see if I understand this first There's a wet 14 slurry that was injected into a mold is that correct
15
More or less poured into a mold
16
Q
Then while the slurry was in the mold it was heated
17
A
Then it was run into the autoclave
Sometimes there
18 was a holding time because enough cars would have to be filled
before they would be put into the autoclave
But that was very
often done in the deep tunnel to keep it from cooling and then
a called load would be run into the autoclave as I've said
22 before and then later dried
23
Q
An autoclave is a --
24
A
High pressure steam cylinder
Q
That would heat the product that was in the mold
\___ GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
42
A
And that would induce the reaction between the lime
and silica that wouldn't occur at ordinary temperature
Q
Would it be fair to say that the reaction that occurred
in the autoclave had no effect on the composition or structure
of the asbestos that was in the product
A
No the asbestos that's in there is a reinforcing
Q
The asbestos that went into the product at the mixing
end was the same as the asbestos that came out of the product
at the finished end is that fair to say
10
A
I think that's a fair statement
11
Q
After the Kaylo slurry was autoclaved what was the next
step in the process
13
A
Drying
14
Q
How and where did the drying take place
15
A
The material was taken from the autoclave and run into
16
a dryer
And then from the dryer it was then sent into the
17
finishing room called where it was sized and packaged
18
Q
Could you tell me where at what stage in the process
19 the Kaylo was taken out of the mold
A
At the end of the dryer
21
Q
Did the dryer heat the product
222
A
Yes
It was in effect an oven in ordinary language
Q
Was there a person whose job it was to remove the
Kaylo from the mold
25
A
This was a line operation and people would remove the
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ed
.
et
ed cee
43
material from the mold and send it in whatever line it was to
finish and then the molds would go back into production
Q
.
When the product was taken out of the mold was it put
on a conveyor
A
At one time of course much of this was done by hand
it would be put on cars and carts and then just hauled over
But later on conveyors were installed
Q
Do you remember about when the conveyors were installed
A
Well on the order of 1948 somewhere along there
10
Q
The people whose job it was to handle the product
11 either taking it from the mold after the drying to the finishing
area or placing it on a conveyor belt were they given respirators
13 to wear
14
MR HIGGINS Same objection
15
A.
Respirators were available if it was felt that it was
16 dusty This was before we would get the dust collecting equip-
17 ment operating like it should respirators were available all
18 throughout the plant
19 BY MR METCALF
2
Handling the tiles the men handling the tiles after
they were taken out of the molds and either carried to the
22 shaping room or put on a conveyor belt that handling process
23 created dust from the product did it not
24
A
To a small extent because you see the product then
25 had been reacted so it wasn't dusty in the sense of a cloud of
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o
dust because there were no loose fibers or maybe I should say loose particles that would create dust But like everything else
if you bumped it a little particles of dust might fly out But
it was not considered to be a dusty operation
Q
Were you able to see dust in the air at that point of
the operation
A
Only momentarily if something had happened to bump it
Did you ever have occasion to visit the Sayreville
New Jersey Illinois facility
10
A
Yes
11 Q Did you have occasion to observe that production line
in operation
A
Yes
14
Q
Approximately when did you first visit the Sayreville
15 facility
16
A
While it was being built See they were building the
17 Sayreville plant while the Berlin plant was improving its 18 facilities to make pipe insulations So during that whole
19
interval until the Sayreville plant was operating I would go
up occasionally
IERE
21
'
After the Sayreville plant was in operation and on
eT
Nen
line did you have occasion to periodically visit the plant and
fe
observe the production process
A
Yes
25
Q
You've already said the production process was
| GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
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45
essentially the same as it was for the Kaylo process in Berlin
New Jersey
A
In principal they were identical
Q
At Sayreville I take it then there were also workers
whose job it was to remove the product from a mold after it was
dried and then carry or convey the product to a shaping room
A
But they had more called mechanical handling
facilities than what we had at Berlin so it was much more
mechanized
10
Q
At that point of the operation when the product was
11 being handled by workers after removal from the mold would you
say there was more dust or less dust generated than the equiva-
13 lent process at the Berlin New Jersey plant
14
A
I would say less
15
'
At the Berlin New Jersey plant we've been talking
16 about a shaping room is that correct
17
A
It really was given the name finishing room meaning
18
that you would take the product as it came from the molds and
19
then do whatever was necessary to end up with the sizes that were
desired and then it was packaged in cartons for shipping
21
Q
This all took place in the finishing room
A
That's what was called the finishing room
Q
How was the product manufactured into the desired
size in the finishing room
25
A
For example the block would come out 18 inches wide
~" GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
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46
and 36 inches long of various thicknesses
If the desired
width was 12 inches of course it would be cut into that size
If the desired width was six inches it would be cut into that
size or sometimes it was cut into three inch blocks by almost on special order because that was not common
The six inch width was a very common size and of course it was trimmed to the end for the standard of the industry 36 inches And if necessary for thinwear it would be split so that
for example you might have one inch thickness or an inch and a
10 half thickness or two inch thickness or three inch thickness and 11 so the sizes then would be made in accordance with what the
anticipated sales demand would be and then it would be cartoned
13 and marked and ready for shipment from the warehouse
14
Q
Did this cutting of the product though was that done
15 with a pocket knife
16
A
This was all done mechanically by saws Maybe I should
17 say saws and sanders to even or smooth the top surface
18
Q
When the product was sawed did that generate any dust
19
A
That would and that's where we were installing dust
collecting equipment so it would not get out into the work area
21
2
Then after the product was sawed it was handled by
workers who placed it into cardboard cartons is that correct
A
Cardboard cartons
Did that handling process generate any dust
25
MR HIGGINS I again reiterate my earlier objection
td
GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
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ageing,
oe
47
to this whole line of questioning
A
Not particularly it was by that time where it had
been handled it had gone through all this mechanical equipment
and there's very little free dust BY MR METCALF
O
You say very little was there occasionally dust gen-
erated by that handling process that was visible
A
This would be very local where somebody might rub it
but it was not what you would call a cloud of dust or dusty area
10 per se
11
Q
Then after the product was put into -- after the Kaylo
was put into cardboard cartons you say it was loaded was it
13 generally loaded on boxcars
|
14
A
It depended where it was going
Much of the orders
15 were shipped by truck but if it went for longer distances then
16 it might go by car
17
Where there workers at the Berlin New Jersey plant
18 whose job it was to load the boxed Kaylc onto boxcars
19
A
Yes this would be the shipping room
Q
Was the finishing room process and the shipping room
21 process of Sayreville plant to your knowledge substantially the
same as that in the Berlin New Jersey plant
A
Well no because the roof tile which was 18 by 36
inches was used as manufactured so there was none of this sawing
25 into other sizes
And so those materials might be put on pallets
mt
resee
eae
\ - GE-IGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
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enmas
48
stacked and strapped then the whole pallet would then be
handled for shipment
|
Q
So there was no sawing going on in the finishing room
at Sayreville
A
No. The only thing that would be done would be sanding
of the top surface because from the autoclave that would usually
have a rough surface
Q
I take it there was local exhaust ventilation where
the sanding was occurring
10
A
There was dust collectors all around
11
Q
Then at Sayreville was the roof tile -- by the way
the roofing tile was that also called Kaylo
13
A
Kaylo roof tile
14
Q
Was the Kaylo roof tile then put into cardboard boxes
15 and loaded on trucks or boxcars
16
A
Usually it went on the pallets because they were large
17 pieces and out on the field it was much easier to take them with
18 a pallet up on the roof of the building and then workmen would
19 merely carry it into the installation area
Q
So the pallets with the loose product were then loaded
21 into boxcars or trucks
A
Or trucks
,
Do you remember what year the Sayreville New Jersey
plant went on line actually producting Kaylo roof tile
25
A
I don't know exactly but it would be about 1948 in
GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
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that area
Q
Was there a plant manager at Sayreville New Jersey
A
Yes
'
Who was that
A
David Innes
Q
Do you remember for what period of time he was the
plant manager at Sayreville
A
I don't remember the time
Q
Was it up through at least 1952
10
I think in that neighborhood but again I don't know
11
precisely
Q
Did let's say between 1944 and 1949 Mr. Shuman did
13 Mr. Hazard ever come to the Berlin New Jersey plant and take
14
samples of the air to test the dust concentration in the air
15 Yes
16
Q
Do you remember with approximately what frequency he
17 did this between 1944 and 1949
18
A
As a rule it would be when we were making changes
19 That is if he had established a certain area was acceptable of
course he wouldn't come back until there was some reasotno
21 suspect that something else needed checking although he might
come in just as an unannounced routine check to see how things
were going
MR HIGGINS
25 according to my watch
Can I interrupt you it's 11:46 now It might be a good time to quit
me ~ GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
te
R
eee
Aone
-
50
MR METCALF Would this be a good time for you to
quit
A
If you want to go another five or ten minutes that's
all right
MR METCALF
Why don't we stop now and take a break
MR HICKERNELL
This ends reel one
Recess
MR HICKERNELL
This is reel number two in the depo-
sition of Everett C. Shuman and time is 1:30 p.m.
10
MR METCALF
Could we have the last question and
11 answer read back
Last question and answer read back by stenographer
13 BY MR METCALF
14
Q
Let's discuss a different area for a while Mr. Shuman
15 Have you had your deposition taken before
16
A
Yes
17
Q
Have you had your deposition taken before in connection
18 with a case involving a person who claimed he or she received
19
some sort of asbestos related disease
A
I can't remember in those terms but they were deposi-
21
tions that I had made for a case in Virginia last year and then
one other one this year
ment
MR HIGGINS Before it continues let me make a state-
I suppose this line of questioning would be relevant if
25
this were a discovery deposition and I think you are treating
~
L_. GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
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51
your cross examination as for purposes of discovery as well as
simply for cross examinatioonf this witness
I would like to not have this aspect of the testimony
included in the cross examination of this witness should this
video taped depositiobne used for purposes of trial Therefore
I would object to any questions dealing with prior depositions as being outside of the course in scope of the direct examination
and not relevant to the issues in the Gilmore case
I will
register that objection and of course allow him to continue with
10 his discussion if all you're inquiring about is depositions for
11 the purposes of discovery
BY MR METCALF
13
Q
Do I understand then Mr. Shuman that you've given
14 two prior depositions
15
A.
Really three
16
Q
Those are all within the last year
17
A
Two in 1979 and one in 1980
18
Were any of those video taped depositions
19
A
None
Q
Have you ever testified in court
'
21
A
No.
Q
Have you ever given anyone a written statement of your
recollection of your involvement with the Kaylo product
A
Well in one of these situations I was given a list
25 of questions that I answered written questions that I answered
| GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
52
written
Q
Other than that you've never given anyone a written
statement
A
Not that I recall
Q
Have you ever met with Mr. Higgins prior to today
No.
Q
Have you ever met with Mr. Stancati prior to today
A
Yes
Q
10 today
11
A
How many times have you met with Mr. Stancati before
Twice I think I'm not sure
Q
Do you remember where you met with him
13
A
At one of these depositions
14
Q
Did you ever talk on the telephone with Mr. Higgins
15 at any time before today
16
A
Well when he phoned me to make arrangements for this
17 deposition which is just recently
|
18
Q
Did you review any documents written materials in
preparation for your deposition today
A
Only to read the prior deposition which I just received
21 last week
Q
Mr. Shuman between 1944 and about 1949 do I understand
that you were reporting directly to Mr. U. E. Bowes
A
Yes
25
In an average month during that period between 1944 and
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53
1949 approximately how many times would you talk with Mr. Bowes
A
That was highly variable but it might be frequent and
it might be with a lull in between
In addition of course since
I was reporting to him I would mail in a monthly activity report
as was done for all departments
Q
What sort of matters would you discuss in the monthly
activity report that you would send to Mr. Bowes
A
All the things that were physically underway
Q
These things are research projects that you had
10
A
Research and development or if something had happened
= out in the field that was unusual I would report back
Q
Would you report to Mr. Bowes about any visits that
13 William Hazard had made to the Berlin New Jersey plant
14
A
Not specifically because I presumed that Mr. Bowes was
15 aware of what Mr. Hazard was doing
150
Q
Did you in turn Mr. Shuman receive written reports
17 or letters periodically from Mr. Bowes
18
A
A few but not very often
19
Q
What sort of written correspondence would you receive
from Mr. Bowes
21
A
This was more in the line of inquiry or suggestions as
to something that might be investigated
Q
Did you ever discuss with Mr. Bowes any health hazards
that might be associated with inhalation of asbestos dust fibers
25
A
This would come up as a routine thing because he was
GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
~
aware that the plant was improving its operating facilities and that we had been working with Mr. Hazard so if he had some specific question he might ask it But he presumed that work was underway as had been planned
Q
This would be with regard to potential asbestos related
health hazards including other things
A
It would be whatever hazard Bill Hazard had pointed
out we should be concerned about
Q
Did those hazards include potential hazards related to
10 inhalation of asbestos dust fibers
11
A
We didn't know anything about the significance of the
inhalation of asbestos
13
Q
When you say we to whom are you referring
14
A
I'm talking about the Berlin operation
15
Q
At what point in your career did you if at all become
16 aware of potential health hazards associated with inhalation
17 of asbestos dust fibers
18
A
The called cancerous phase I didn't become aware of
19 that until I read it in the newspapers somewhere along the
1960's when it got all the publicity
Prior to that and this
21 again I'm not too sure of the date Bill Hazard had pointed out
that the Saranac Lake Laboratory had found a reaction that they
had described as asbestosis which
different than silicosis
was
but nothing was said as to about the significance of one or the
25 other
Of course I was aware that silicosis was something we had
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55
always been concerned about so this was just another form of
silicosis
Q
Would you have had this discussion with Mr. Hazard
where you became aware of the asbestosis reaction discovered in
the Saranac Lake research before 1958
A
I would say it was in the early 50's
See I was no
longer plant manager then but of course I was still in charge
of engineering which of course had to do with plant operations
So he had mentioned it in that period and I can't pick the year
10
but I would say -'53 or somewhere along in there
11
Q
Do you think it would have been before 1952
A
Well it could but I sort of doubt it
Because see
13
hadn't left the plant until 1950 and at that time I hadn't
14
heard anything about it
15
After 1958 when Corning Fiberglass Company pur-
16
chased the Berlin New Jersey from Illinois did you have
17
knowledge about the basic composition of Kaylo as manufactured
18
by Corning
19
A
Not specifically but it was presumed that they just con-
tinued to manufacture the same calcium silicate that had been
21 made
Q
So would it be fair to say that there was no substantial
difference between the composition of Kaylo before 1958 and after
1958
25
MR HIGGINS Objection that wasn't his testimony at
~GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
all He said he wasn't aware of any changes
MR METCALF I am just asking a different question now
MR HIGGINS That's not a fair characterization of his earlier testimony
A
The thing I'm going back to is what happened in the
field there were no changes that we saw in the product in the
field and what we had seen before
BY MR METCALF
Q
While you were with Corning from what 1958
10 until 1961
11
A
That's right
Q
Did you have a job title
13
A
Well probably but I can't remember what it was
It
14
was the equivalent of a sales consultant to the sales department
15
Q
Were you a full employee of Corning Fiber-
16
glass
17
A
Yes
You 18 Q
were a time employee of Corning Fiber-
19
glass from 1958 until 1961
A
That's right
21
Q
As a consultant to the sales department did you draft
or lend assistance or advice in drafting or putting together
product catalogs
A
Oh only to the extent that if they had something that
25
they had prepared they came and asked me to look over to see that
GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 _ 234-2109
57
there was nothing technically wrong in what they had done
Q
While employed by Corning Fiberglass to whom did
you report
A
H. T. Williams
position Q
What
did H. T. Williams have in the company ?
A
He was sales manager for industrial insulations
Q
Were there monthly or other periodic meetings that you
attended while employed by Corning Fiberglass in performance
of your duties and responsibilities
10 A
11 attend
There was usually a monthly sales meeting that I would
Q
Who would conduct these monthly sales meetings
13
A
H. T. Williams
14
Q
Who else would attend the monthly sales meetings
15
A
Well I can't recall specifically people but those who
16
were interested in the insulation field would attend from time
17
to time 18
There was a vice president I can't recall his name
that would attend occasionally
19
Q
After the earily 1950's information you learned about
some of the results of the Saranac studies with Kaylo and
21
asbestos reaction did you learn any further additional information information
about potential health hazards associated with inhalation of
asbestos or Kaylo
A
No.
25
Q
You received no further information from Mr. Hazard in
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.58
that regard
A
No.
Q
Did you know a Dr. Shook while you were employed
A
He was the medical doctor for Illinois
Q
For what period of time was Dr. Shook the medical
director for Illinois
A
He was medical director I think when I started in 1944
and later on he became ill and I can't remember what year it was
that he dropped out of active service
10
Q
Would it have been around the 1950's that Dr.
11 Shook dropped out of active service
A
It seems to me it was earlier but again I'm somewhat
13 hazy because the activities then were really carried on by Mr. 14 Hazard rather than Dr. Shook although I presume Mr. Hazard was
15 working with Dr. Shook in some way but I don't know specifically
16
Q
Did you ever meet Dr. Shook
17
A
Yes
18
Q
Did you meet Dr. Shook while you were plant manager
19 of the Berlin New Jersey plant
A
I think I met him even before then
21
Q
Did you meet Dr. Shook periodically then while he was
active with Illinois
A
No it was only when something unusually came up that
I'd see Dr. Shook because he had the whole company to look after
25
Q
What sort of unusual thing would come up that would
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59
cause you to see Dr. Shook
A
Well the plant had a routine ray program for all
employees which of course would have been under his jurisdiction
Q
Anything other than his administering an ray program
A
No.
Q
Did you ever have any discussions with Dr. Shook re-
garding potential health hazards associated with inhalation of
asbestos fiber
A
No.
10
Q
While you were working for Corning Fiberglass
11 did you ever meet or become acquainted with a person by the name
of C. G. Staelin
13
A
I don't recall that name
erence
ee
ce
ee Se
14
'
I take it from your earlier testimony in response to
Th
15 Mr. Higgins questions that it was important to you to see how
16 the Kaylo product was being used in the field is that a fair
17 statement
18
A
Yes
19
Q
It was important to you to know this so that you could
make any changes or alterations in the manufacturing process to
make a better product
22
A
Yes that was our overall aim to keep improving the
oad
en
23 product as best we could
24
Q
I guess to improve the product and to know whether or
not it was doing what it was supposed to do it was important to
lL. GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
60
know where it would be used and under what conditions it would be
used
A
Yes
Q
Would it be fair to say that it's important to know
whether or not a product for example Kaylo from your point of
view can be used by applicators of the product safely and without
any hazards to themselves
A
Well that would be implied that we were concerned
of how the applicators would use it
10
Q
Your concern with that for among other reasons the
11 safety of the applicators is that correct
A
Well yes but the product that we were making was
13 so similar to what had already been used and as I pointed out we
14 used the usual tools of the trade that there was no reason to
15 look at it from any other standpoint than the handability That
16 is if someone was holding onto a piece and it would break unex-
17 pectedly this of course would be undesirable
18
Q
While you were director of research and plant manager
19 at the Berlin New Jersey plant Mr. Shuman would it have made ^'
difference to you in your ongoing process to improve the Kaylo
21 product to know whether or not that product had the capability
of causing asbestosis in experiments at Saranac Laboratory
MR HIGGINS Objection that calls for pure speculation speculation
on the part of the witness
25
A
We didn't know about any such thing so we never even
~~---GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
61
considered it BY MR METCALF
Q
My question to you is if you had
known about it
I want you to assume as a fact that in 1948 Saranac Laboratory
wrote a letter to Illinois telling Illinois that
Kaylo inhalation in guinea pigs caused asbestosis and should be
handled as an industrially hazard product
Assuming that that letter was in existence and written
to Illinois in 1948 would it have made a difference to
10 you in your development of the Kaylo product to have that
11 information
MR HIGGINS Same objection because of pure specula-
13 tion I'm not sure that's a fair characterization to a '48
14 letter and there's been no foundation made as to whether or not
15
this witness ever saw that letter or was aware of it
16 it's pure speculation
17
BY MR METCALF
So again
18
2
Do you remember the question Mr. Shuman
19
A
Yes
Q
Can you answer that
,
21
A
The only way I would make a change is if the orders
came down from top management
Q
Top management would be whom would Mr. Bowes be top
management
25
A
He would be my direct top management
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62
Q
So for you to make a change in the product you would
have in the ordinary chain of command in communication Owens-
Illinois would have received an order as it were from Mr. Bowes
to
|
do
so
A
Well I would of course follow whatever I was asked to
do
When you were asked to do things the person who asked
you to do them was the person to whom you reported Mr. Bowes
A
Yes
10
As I understand it in your professional career Mr.
11 Shuman you've occasionally published articles describing research research
you've done is that fair
13
A
Yes
14
'
Approximately how many articles have you published
15
A.
Oh I don't think I counted them probably a dozen
16
Q
Would all these articles relate to research that you've
17 conducted or supervised yourself
18
A
Yes
19
'
I take it that before you had published one of these
articles it was important to you as an engineer and scientist to
21 know that you're you're on pretty solid ground ground with regard to statements
you made in the articles
A
Yes
Q
Would it be I guess unlikely that you'd make a state-
25 ment without some foundation for making a statement in an articlearticle written by you
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63
A
Yes
Q
I guess it would be fair to say then writing up research
and technical information it's important not to make unfounded
statements
A
That's right
Q
I take it it would be fair to say that you learn pretty
early on in your professional career that it's important to be
able to back up statements you make in articles that you write
and publish
10
A
Yes
11
Q
In 1952 you published an article about hydrous calcium
silicate insulation did you not
13
A
Yes
14
Q
Mr. Shuman let me hand you what's been marked as
15 Plaintiff's Exhibit OI
16
Let me hand you what's been marked as Plaintiff's
17 Exhibit OI and ask you if that's a copy of an article published published 18 by you
19
A
Yes
Q
Does that article appear in April 1952 editioonf
21 Petroleum Engineer magazine
A
Yes
Q
If you would just take a moment to look at the article
and make sure it's the one you published
25
A
It is
~~ GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
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64
Q
There's just a couple of questions I want to ask about
that On page 62 of the article Mr. Shuman the first full
paragraph in the middle column of the page Are you with me
there
A
Okay
O
It's the paragraph that consists of one sentence and
reads applicators appreciate the fact that hydrous calcium
silicate is toxic and quote on the hands unquote
A
Yes
10
Q
What foundation or research did you have available to
11 you to indicate that hydrous calcium silicate is toxic and
easy on the hands
13
A
The word toxic as I was brought up in chemistry was
14 poison and there were no known poisons in calcium silicate and 15 the lime and silica had reacted so that they were a calcium
16 silicate not either lime or silica
So there was no known
17 poison substances in the material
18
Q
Was it your understanding in April of 1952 that asbestos
19 was toxic
A
That's right asbestos was toxic meaning poison
0
Just so I understand what's your definition of poison
22
A
Something that reacts chemically
23
Q
In 1952 it was your understanding that asbestos did not
24 react chemically in any way with animals or people in handlinigt
25
A
That was my understanding
The effect was more
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65
mechanical than chemical
'
A
Q
A
At least that was your understanding
That was my understanding
In 1952
Yes
Mr. Shuman let me hand you what's been marked as
Plaintiff's Exhibit OI and ask if you can identify it I will
let Mr. Higgins look at it first
Do you have the documents marked Plaintiff's Exhibit 10 OI Mr. Shuman
11
A
Yes
Q
Is that a page document
13
A
Yes
14
Q
Is it dated February 12th 1943
15
A
Yes
16
'
Does it purport to be signed by U. E. Bowes director
17 of research
18
MR HIGGINS
19 BY MR METCALF
The document speaks for itself
Q
Does that appear to you to be an accurate facsimile of
21 Mr. Bowes signature
MR HIGGINS
Objection there's been no foundation
laid for Mr. Shuman's knowledge about Mr. Bowes signature
MR METCALF
I beg to differ with that but the objec-
tion is noted
" 234-2109 GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717
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EN
ar
ee
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BY MR METCALF
Q
Does that appear to be Mr. Bowes signature to you
A
I think so
Q Does the first page of OI have an inscription at the
top of the page
MR HIGGINS MR METCALF
The document speaks for itself
I need to ask him some questions but I
agree it does speak for itself
BY MR METCALF
10
Q
Is that a reproduction of an Illinois letterhead
11
A
It looks like it
Q
Is that the type of letterhead that you're familiar
13 with while working with Illinois during that time
14
A
Yes
15
Q
By the way did you ever meet Dr. L. U. Gardner
16
A
No.
17
MR METCALF
18 document
I have no further questions about that
19
BY MR METCALF
Q
Did you ever have the occasion to meet Dr. H. J.
21 Vordwald
A
No.
Q
Did you ever have any correspondence with Dr. Vordwald
A
Yes
25
'
What was the occasion of your correspondence with Dr.
GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
67
Vordwald
A
This had to do with sending them a sample of Kaylo dust
with which to conduct their research
Q
Did you ever become aware Mr. Shuman in a report dated
January 30 1954 to Illinois Dr. Vordwald described Kaylo
as having because of its asbestos contents toxic properties
A
No I never saw it
Q
If you had seen that would that have changed your
belief about Kaylo being toxic
10
MR HIGGINS Objection counselor speculation to a
11 hypothetical question It's not supportive of the facts of the
case
13 BY MR METCALF
14
'
You can answer
15
A.
16 ments
Yes I presume I certainly would have weighed the com-
17
Q
By 1960 Mr. Shuman had you come to the understanding
18 or belief that asbestos was a potentially toxic substance
19
MR HIGGINS
What year
MR METCALF
By 1960
21
A
Not particularly because all I had heard was of course
reference this in
to asbestosis but I had never heard any state-
ments on the significance of what they meant
To me it meant it
was like silicosis but somewhat different
25
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' 68
BY MR METCALF
Q
Mr. Shuman let me hand you what's been marked as
Plaintiff's Exhibit OCF after I've shown it to Mr. Higgins
Would you be able to identify for us what Plaintiff's
Exhibit OCF is
MR HIGGINS Again the document speaks for itself
A
This seems to be an exposition of Kaylo and with
illustrations of its use and some of the properties
BY MR METCALF
10
Q
Is that an Corning document
11
A
It has Corning logo on it
Q
Is there a date on the first page
13
A
October 1960
14
Q
This is at a time when you were a time employee
15 of Corning Fiberglass is that correct October of '60
16
A
Yes
17
Q
At the page of Exhibit OCF marked 24 at the lower left-
18 hand column do you see that page
19
A
Yes
21
Q
The third full paragraph of the text of that page
do you see that it begins Kaylo pipe insulation
A
Yes
Does the last sentence of that paragraph read that
it is irritating to the skin and toxic
25
A
Yes
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MR HIGGINS
Before he answers that let me interpose
an objection First of all the documents speaks for itself
Second of all there's been no foundation laid about whether or not this witness knows anything at all about this document
You're just asking him to read from a document
MR METCALF MR HIGGINS
I'm just asking him to agree with it
I don't see the relevance of any of his
testimony
BY MR METCALF
10
Q
Mr. Shuman does Exhibit OCF contain certain techni-
11 cal information regarding Kaylo pipe covering
A.
Yes
Q
Is this a type of technical information about which
14 you would have been consulted by the sales department in Owens-
15
Corning
16
.
A
Usually
17
Q
Does Exhibit OCF contain technical information that
18 you would have been able to supply to the sales department
19
A
Well these are data that had been accumulated by Owens-
Illinois
before
Corning
took
it
over
so
I
presume these
are
are
21 the same data that Illinois had used
Q
When you left Illinois in 1958 and began working
with Corning did you discuss the knowledge you had about
Kaylo with the Corning Fiberglass people
25
A
Well the ones that were active in it already knew
GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
70
because Mr. Williams had been an employee of the Kaylo division
of Illinois before he took over this sales manager job
of Corning
'
What was Mr. Williams title again
A
I think he was sales manager of industrial insulation
Q
What was his title while he was working for Owens-
Illinois
A
I don't recall I don't recall any specific title per
se because he was more or less like a supervisor in the sales
10 department because of his long years of experience
11
Q
Did Mr. Williams work for Illinois up until the
time the Berlin plant was sold to Corning
13
A
He had gone over to Corning a year or two prior
14 to that
15
'
Did you ever know a Mr. Burch whi youlwee re working
16
at Owens --
17
A
Yes Oscar Burch
That was the name of the director
18 of research I was trying to think of earlier in the day when I
pointed out that he had taken over after Mr. Bowes had become
,
ill
'
So Mr. Burch became director of research for Owens-
22 Illinois
23
A
Right
24
Q
Did Mr. Burch subsequently work for Corning
25
A
NO
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on
71
Q
What did you say Mr. Burch's first name was
|
A
Oscar
T
Q
Did you know a Mr. M. D. Burch who worked at Owens-
Corning
A
No.
Q
Do you know whether or not Corning Fiberglass
Corporation had a position entitled director of personnel and
industrial relations
A
I don't know of any
10
Q
Would you have been as a consultant to the sales depart-
11 ment in a postiion to be aware of whether or not there was such a
title within Corning Fiberglass
13
A
No.
14
15
A
16 ration
Were you ever acquainted with Mr. Harold Boechenstein He's the president of Corning Fiberglass Corpo-
17
, When did you first become acquainted with him
18
I don't recall specifically but I had known about him
of course but actually didn't meet him because at my level there's
no reason to be knobbing with the president
But he was
democratic so if we were in a meeting or something of that sort
22 he was never aloof
But there was no reason for me to be in
23 close contact with him
24
Q
How about Mr. W. P. Zimmerman
25
A
He was one of the officials of Corning Fiberglass
~ GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
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fi
a
f as
L
de
ow er
gpm
ae
Cage
Pega
gnie rec
Lp
at
Ma s
we
aa
_
.72
1 | I met him but again occasionally
2
Q
I take it you never had conversations about asbestos
3 | related health hazards with Mr. Boechenstein or Mr. - Zimmerman
4
A
None
5
Q
Did you ever meet or become acquainted with a Mr.
6 | Edward C. Ames
7
A
The name sounds familiar but again I may have met him
8 | just occasionally I don't remember any lengthy contact with him
9
Q
Does the name have any connection to public relations
10 | manager position in Corning Fiberglass
11
A
I don't recall that now
12
Q
13 | for you
14 A
Mr. Shuman does the name Ira Brought ring any bells
Not at all
15
Q
Does the name W. J. Stewart ring any bells for you
16
A
W. J. Stewart was with Illinois
17
Q
Was Mr. Stewart with Illinois in June of 1956
18
A
I'm not sure
19
Q
What was Mr. Stewart's position at Illinois
20
A
At one time he was general manager of the Kaylo division
21
and then I lost contact with whatever he was doing
But he was
there for -- I can't remember two or three years or some number
23 | like that
Q
Did you and he both work for Illinois at the
25 same time
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A
Yes
0
After I show it to Mr. Higgins I will hand you
Plaintiff's Exhibit 01-9
Do you have Plaintiff's Exhibit OI in your hands
Yes
Q
Does that exhibit bear the date of June 12 1956
A
Yes
Q
Does the name E. C. Shuman appear in that
A
Yes
10
MR HIGGINS Let me interpose another objection
11 Again the document speaks for itself there's been no foundation
as to whether or not this witness can identify this exhibit
13 Apparently all counsel is seeking to do is to have him restate 14 information that is obviously on the document I think this
15 procedure is improper
16
MR METCALF
I think we have to get to the point where where
17 we can identify it
18
MR HIGGINS Why don't you ask him the questions
19
can he identify this exhibit And if he can't then perhaps
,
you ought to go into something else
21 BY MR METCALF
Q
Mr. Shuman is that a memorandum that you recollect
receiving during your employment with Illinois
A
I don't remember this
25
Q
Do you remember anything about the contents stated in
L__ GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
that memorandum
A
No.
-
Is that the first time you've ever seen that
A
Excepting that if I got a copy I must have gotten a
copy way back
But then at that time that I read it and stuck
it in the file
Q Perhaps you can help me with the initials that appear at the bottom of that document OI if you can read them for me
A
I can't make them out It's apparently W. something
10 but I can't make out what the -- can't determine what the last
11 one is what the last letter is
Does the last letter appear to be an ?
13
A
It could be --
14
MR HIGGINS Objection I mean you're asking -15 unless you're going to qualify him as an expert in document
16
reading and interpretation I don't see what possible relevance
17 any of this testimony has
18 BY MR METCALF'
19
Q
Do you have any familiarity with Mr. William G.
Hazard's signature
'
21
A
Very little
I don't remember that I've seen that
excepting in passing somewhere
Q
June 1956 would it be your recollection that Mr. Hazard
was working for Illinois
25
A
I think he still was at that time
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Q
Did you ever meet or become acquainted with a person
by the name of J. M. Robinson
A
Doesn't ring a bell
,
I think that you testified in response to Mr. Higgins
questions that when you joined Illinois sales of Kaylo were were
very minor is that fair
A
Yes
Q
In fact when you joined Illinois the Berlin New
Jersey plant was really only in the pilot stage
|
10
A
I had characterized it as that
In fact at one time
11 called it the Berlin pilot plant By pilot the implication was
it made usable standard material excepting on such a slow pro-
ee
nS
13 duction rate that large orders couldn't be accepted because we
fe
14. couldn't fulfill them
15
Q
I think you also said that the asbestos fiber used in
16 Kaylo was primarily chrysotile
17
A
Yes
.
18
Q
You used the word primarily it implies to me some
other fiber was also used
a
A
Not regularly there were other asbestos that were on
ee
the market that we might try and add in small portions but not
e
anee 22 in any major change It was primarily all chrysotile
rae
EMITTg
aL
23
Q
Did Kaylo insulation periodically contain amosite
24 asbestos
A
25
A
No that would be of the heavy density material only
~~ GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
76
as a roof tile you remember they were making at Sayreville
Q
Is it your testimony then that the Kaylo thermal insu-
lation never contained any amosite asbestos
A
It was not a fiber that was easy enough to handle to
go into the light density material
Q
What was it about the amosite that made it difficult
to handle
A
It's more of a discrete fiber that is it was stiff and
would not fiberize as well as chrysotile
10
Q
So more likely than not when you take samples of dust
11 from the Kaylo plant in Berlin New Jersey and sent them to Dr.
12 Vordwald of Saranac those dust samples would not have contained
13 any amosite
14
A
Would not contain amosite
15
Q
Have you ever met Dr. Garrett Schepers
16 A No not that I recall
17
Did I understand you to say that Kaylo thermal insu-
18 lation contained approximately 18 percent asbestos by weight
A
Approximately that's right
Q
It's your understanding is it not that Kaylo is still
manufactured and marketed today by Corning Fiberglass
22
A
I understand they're still making it yes
23
MR HIGGINS Are you implying that it contains
24
asbestos
25
MR METCALF I'm not implying anything Mr. Higgins
GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
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I'm just asking questions
BY MR METCALF
Q
It would be fair to say would it not Mr. Shuman that
after 1972 Kaylo did not contain asbestos
A
I have no idea
Q
The times that you observed asbestos containing insula-
tion such as pipe covering and insulating cement being applied
was that only while you were with the Portland Cement Association
in Chicago or did you observe it being applied on occasions sub-
10
i
sequent to that
;
11
A
Well over the years whenever I was associated with
1
pieces of equipment and insulation was involved of course that's
4
'
4 4
13 when I was involved in its being used
f
abet.
14
ob
Q
Did that occur periodically while you were plant
hate
15
kn manager of the Berlin New Jersey plant
ta
EE 16
A
At the Berlin New Jersey plant we made our own insu-
Uae
17 lation
18
Q
You also used some of it
19
A
Oh yes that's what I'm implying is we made it and
applied it as needed
21
Q
Who applied it where you needed it
A
Workmen
Q
Were these members of the asbestos workers union or
were they --
25
At the beginning they were not later on they were
4
3 t
}
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, Did these workers who applied it were they supplied
respirators by Illinois
A
If there was a need to
2
Was there ever a need to while they were applied
A
Again it depended on where this was being done If it
was in an enclosed area they would be supplied as I said respira-
tors were always available But in most applications you sawed a piece and then you do something and there isn't any continual
operation that produces dust in applications
10
Q
I'm not sure of the answer to my question is yes or
11 no Did you have occasion to supply respirators to the people
A
I think I said yes we did when the occasion arose
13 meaning closed areas where it might be dusty
14
Q
What sort of closed areas would those be
15
A.
This would be pieces of equipment that were -- it was
16 along side of walls or places where it wasn't readily ventilated
17 naturally
18
Q
Would that be most indoor --
19
I'm talking about indoors yes
Q
Most indoor uses then for applications of Kaylo at the
21 Berlin New Jersey plant for example would involve a situation
where
the
person
applying
it would be provided with
a
?
respirator
A
Yes
MR METCALF
I think I'm almost done here Mr. Shuman
25 Can we go off the tape
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Discussion held off the record
BY MR METCALF
Q
Mr. Shuman was the address of Illinois Glass
Company in mid to late 40's Toledo one Ohio
A
Yes
Q
What did the one refer to
A
It's the postal designation
Q A 10 11 Innes
Sort of like a zip code That's right that was the forerunner of the zip code I think you've already told us about a Mr. David
A
Yes
13
Q
Who was he again
14
A
He was plant manager at the Sayreville plant In fact
15 he was plant manager at the Berlin plant before I took over
And
16 then when they built the Sayreville plant he became plant manager
17 of the Sayreville plant
18
Q
Did you know a Mr. H. H. Renn
19
A
No that's doesn't ring a bell
Q
A Mr. M. M. Olander
21
A
Olander was the director of personnel I think is what
his title was for Illinois
Q
Mr. A. C. Hirth
A
That doesn't ring a bell
25
Q
In early to mid 40's did you ever know the name of
LH GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
- 80
Mr.
Mr. Bowes secretary
A
Miss Grice
Q
Do you remember her first name
A
She was a secretary now I'm presuming it was Mr. Bowes
but at least the called general manager of the Kaylo division
I can't right at the minute think of her first name Josephine
it might have been
Q
Mr. Shuman during the time you were working for Owens-
Illinois and Corning did you ever have occasion to discuss
10 asbestos containing insulation products with anybody employed by
11 Manville Corporation
A
Well only in AST committee C16 where all materials
13 were being discussed
14
Q
Do you remember the names of anybody
15
A.
Well the representative of Manville at that time
16 was Charles Bradley
17
Q
Were you ever consulted in or about 1950 or 1951 Mr.
18 Shuman with regard to putting together a brochure about the
19 health aspects of Kaylo insulation
A
No I never heard of that
21
Q
Was there a santocel product made by Illinois
A
No I don't think made by Illinois That is a
trade name
that I
heard but
I
don't think
this was
--
my guess
would be and purely a guess would be Manville
25
I believe you testified that Mr. Shook occasionally
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81
took samples of atmospheric dust in the Berlin New Jersey plant
|
A
I think that was Mr. Hazard
O
Mr. Hazard I'm sorry
A
Mr. Hazard did yes
Q
Do you know whether or not Mr. Hazard would analyze
those samples of dust for their contents
A
I presume he did because he would then report back to
me whether the value was too high and we needed a better pick
equipment
10
Q
Do you know whether or not Saranac Laboratories read
11 rays for Illinois employees
A
That was my understanding that we would send our
employees down to the other OI plant about 15 miles away I can't
remember the name of the little town where the rays were taken
15 and then they would be sent to Saranac Lake to be read
16
Did you have annual chest rays while you were
17 employed by Illinois
18
A
19 plant
Yes That is you're implying while I was at the Berlin
Q
Yes
y
21
A
Yes
Q
Did you have annual chest rays while you were officed
at Toledo
A
25 checkup
No those were then -- it would be done on my own annual
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82
Q
Do you remember a survey dust survey being conducted
at the Berlin New Jersey plant in about the middle of 1958
A
No I don't remember any
Q
Do you remember whether you sent dust from the Berlin
New Jersey plant to Saranac on more than one occasion
A
That was just once the initial shipment was a mistake
we had sent block and then Dr. Vordwald or his secretary pointed
out they wanted dust and then we actually sent the dust But
that was the only shipment that we made
10
Q
Do you remember the name of the secretary that pointed
11 that out to you
A
I don't remember now
13
Q
Do you remember if her name was Lillian Bland
14
A
That name Bland sounds familiar yes
15
MR METCALF
I have no further questions at this time
16 I want to make a statement I earlier stated I had no
17 objection to the deposition being taken to preserve testimony 18 am going to withdraw that and just let the record stand on its
19 own as to whether or not there's adequate foundation for this
being a deposition to preserve testimony
21
MR HIGGINS
Let me address that first with a couple
more questions to Mr. Shuman
BY MR HIGGINS
REDIRECT EXAMINATION EXAMINATION
25 ' Mr. Shuman would you again describe what the present
GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
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83
state of your health is
A
Well for my age reasonably good Of course occasionally occasionally
I get as people do in my age arthritis in my knees which makes
walking rather difficult but it comes and goes But other than
that why I would say for my age fairly good health
Q
How old are you at the present time
A
I'm 77.
If I vote in November I will be 78 plus one
day
Q
Mr. Shuman would you again tell us what your job
10 title and responsibilities were at Corning from the period
11 of 1958 to 1961
A
As I said I can't remember the official title the
13 word manager of engineering services sounds like it might be it
14 But basically I was consultant to the sales department and as it
15 come out in the testimony it was to help sales people in answering
16
technical questions that might arise in the field that they
17
themselves couldn't answer
18
'
What was the function of the sales department
19
A
Of course the sales department was to get orders for
the material And this of course they would do by contacting
21
contractors and those organizations of large engineering organi-
zations that were buying thermal insulation
The first thing of
course would be to get into their specifications so that it was
an acceptable product on the list of the thermal insulation that
25
the customer was buying
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Q
Did the sales department have anything to do with
research and development particularly with regard to Kaylo
A
No. The sales department would only report what they
got from the field comments about what was liked or disliked
But so far as the conduct of the research or development they had
nothing to do with that
Q
In your capacity as a consultant for the sales depart-
ment of Corning did you have anything to do with research
and development generally and specifically with regard to Kaylo
10
A
No I mean after the change was made then their own
11 research people did all of that
Q
So you were out of research and development
13
A
I was out of research and development
14
Q
Completely
15
Yes
16
Q
Mr. Shuman you testified about the Sayreville plant on
17 a couple of occasions during your testimony here today Was there there
18 a point in time when the Sayreville plant ceased production of
19
Kaylo
A
Yes As I pointed out this was heavy density material
21 which was primarily roof tile And while it accomplished quite a
bit in the way of providing thermal insulation as well as support
in those days thermal insulation wasn't given the weight that
it is today and so it was considered to be too high priced
So
25 the outlook was unfavorable saleswise and so I think it was
L
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85
somewhere around 1953 they decided to get out of the business
|
That's when Sayreville was shut down
Q
Was the Sayreville plant in existence at the time
Corning purchased the Berlin plant in 1958
A
No the equipment had been sold and somebody else had
it
2
You testified earlier about some of the features of
hydrous calcium silicate insulation products in general and
specifically about Kaylo
You discussed its handability in the
|
10 field I think was something you talked about
11
A
Yes
Q
The fact that it produced relatively low amount of
13 dust compared to other kinds of thermal insulations
14
A
Yes
15
MR METCALF Object to the form
16 BY MR HIGGINS
17
Q
That solubility was a factor to take into consideration
18 and the solubility of hydrous calcium silicate was better than
something like 85 percent mag
MR METCALF
Object to the form
A
Yes
22
BY MR HIGGINS
23
Q
That it could be used in higher temperatures -- that
24 an asbestos containing thermal insulation could be used in
25 higher temperatures than other types of insulations is that
GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
86
correct
MR METCALF Object to the form
A
Well if I understand you're saying the calcium silicate silicate
materials would perform at higher temperatures than the 85 percent percent
mag that's right
BY MR HIGGINS
Q
You also testified that one of the components of
hydrous calcium silicate thermal insulation specifically Kaylo
was asbestos is that correct
10
A
At that time yes
11
MR METCALF Object to the form
BY MR HIGGINS
13
Q
During the period of time that you worked for Owens-
14 Illinois in your view was there any substitute for asbestos that
15 had better performance characteristics than asbestos itself
16
MR METCALF Object to the form
17
A
We didn't know of any
18 BY MR HIGGINS
19
Q
You testified that the asbestos fiber that was incorpo-
rated into the Kaylo product would not change its characteristics
21
after the autoclaving process is that correct
A
Yes
MR METCALF Object to the form
BY MR HIGGINS
25
Q
Is that a fair characterization of what your testimony is
ee GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109
87
A
In other words the asbestos in the finished product
was essentially the same as what had been put in originally
Q
If you know was there any chemical alteration of the
asbestos fibers as a result of the autoclaving process
A
There was no known reaction between asbestos and the
other ingredients
MR HIGGINS
I have no further questions
Whereupon the deposition was concluded
10 11
13 14
Everett C. Shuman 15 16 17 18 19
INDEX TO WITNESS Direct 2
Cross 33
Redirect
82
21 22 23 24 25
~~GEIGER & LORIA REPORTING SERVICE 118 MARKET STREET HARRISBURG PA 17101 PHONE 717 234-2109 _