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COMMONWEALTH OF KENTUCKY ROWAN CIRCUIT COURT CIVIL BRANCH -------oOo--------
TENNESSEE GAS PIPELINE COMPANY, )
Plaintiff,
)
vs .
)
MONSANTO COMPANY,
Defendant.
)
CA 93-CI-90145 VOLUME I
DEPOSITION OF JAMES E. SPRINGGATE THURSDAY, NOVEMBER 30, 1995
pages 1-207
Court Reporting
One Embarcadero Center, Suite 360 SanFrancisco,CA94111
(415) 362-6666 Fax (415) 362-0907
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Deposition of JAMES E. SPRINGGATE, taken on behalf of Plaintiff, at the SFO Hilton Hotel, Bayshore Freeway, San Bruno, California, commencing at 9:30 a.m., Thursday, November 30, 1995, before Deirdre F. Cram, C.S.R. 9339.
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APPEARANCES OF COUNSEL:
FOR PLAINTIFF:
HEDLUND HANLEY & JOHN BY: KEVIN B. DUFF, ESQ. Sears Tower, Suite 5700 Chicago, Illinois 60606
FOR DEFENDANT:
SMITH HELMS MULLISS & MOORE BY: ROLLY L. CHAMBERS, ESQ. 227 North Tryon Street Charlotte, North Carolina 28202
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JAMES E. SPRINGGATE, having been first duly sworn, testified as follows:
EXAMINATION BY MR. DUFF:
Q. Good morning, sir. A. Good morning. Q. How are you? A. Fine. Q. Mr. Springgate, my name isKevin Duff, and I represent Tennessee Gas Pipeline Company in this matter.
Would you please state your full name for the record and spell your last name.
A. James E. Springgate, S-P-R-I-N-G-G-A-T-E.
Q. Where do you reside? A. 13060 East Sunset Drive, Los Altos Hills, California. Q. What is your Social Securitynumber? A. 491-26-2877, I think.
(Discussion off the record.) BY MR. DUFF:
Q. Would you please state your educational
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background, beginning with when you graduated from
high school?
THE WITNESS: I will in just a moment.
491-26-2877.
Is that the number I just gave you?
THE REPORTER: Yes.
THE WITNESS: My educational background after
high school?Was that the question?
BY MR. DUFF:
Q Yes, please.
A . I have a B.S. in chemical engineering
from the University of Missouri, and I have a
master's in chemical engineering from Washington
University in St. Louis, Missouri.
I have advanced management training from
Stanford University.
Q When did you receive your B.S. from the
University of Missouri in chemical engineering?
A . In 1950.
Q When did you receive your master's from
Washington University in chemical engineering?
A. In 1955.
Q When did you take the advanced
management training studies at Stanford University?
A . In 1974.
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Q. Mr. Springgate, have you ever had your deposition taken before?
A . Yes, I have. Q. How many times? A. I believe on two prior occasions. Q. What cases did you give depositions in? A. One of those was on a PCB case for Monsanto and, prior to that, was on a 2,4,5-T or Agent Orange case that Monsanto was involved in. Q. When did you give a deposition in the PCB case? A. Approximately three years ago. Q. Do you recall the name of that case? A. I think that was -- I think that was the Texas Western Pipeline case. Q. Transwestern? A. I'm sorry. I don't recall specifically. Q. Did that case involve Texas Eastern, if you know? A. I don't recall, but I also probably didn't have that information at the time. I do not recall. Q. Where did that deposition take place? A. In San Francisco.
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Q. Do you recall the name of the lawyer who represented you?
A. Yes. Chuck Preuss, which I believe was spelled P-R-E-U-S-S.
Q. When did the deposition take place relating to Agent Orange?
A. Approximately twelve years ago. Q. Do you recall what case that took place in? A . I ' m s o r ry ? Q. Do you recall the name of the case? A. I couldn't give you the formal name of the case. I'll give you a description. There was a class action suit of Vietnamese Army veterans who sued Monsanto and other producers of 2,4,5-T. Q. I'd like to cover some ground rules, if you will, for today's deposition; and, as you know, this deposition may continue to tomorrow.
I'll be asking you a series of questions today to which I'll need you to give verbal answers because our court reporter is here to take down everything that is said, and she will not be able to pick up anything that is a nonverbal response. So I would ask you to not nod in response to a
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question or use a gesture which would not be picked up by the record.
Do you understand that? A. I understand. Q. If, during the course of your deposition, you don't understand a question that I ask, please feel free to ask me to clarify the question, or if we need to, we can ask the court reporter to repeat the question for you.
Do you understand that ? A . I unders t and. Q. At times, Counsel may offer an objection. After he offers his objection, unless he instructs you not to answer, I would ask that you then proceed with your answer.
Do you understand that? A. Right. Q. When did you begin working for Monsanto? A. In September of 1950. Q. Was that your first job out of college? A. Yes, it was. Q. What was your first position with Mons anto ? A. I was a member of an engineering group
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in the Queeny plant in St. Louis, Missouri. Q. What were your responsibilities? A. We were designing modifications and
improvements to chemical manufacturing plants. Q. What was your title at that time? A. I don't recall. Q. What type of chemical manufacturing did
your design modifications relate to? A. Do you mean the products involved?
What's the question? Q. The type of equipment or machinery, if
you wi11. A. Chemical production equipment. Q. Did that involve air compressors? A. Air compressors were probably one of
many equipment items that we worked with. I do not recall specifically an air compressor.
Q. What type of products did your work re late to ?
A. That particular manufacturing plant produced pharmaceuticals and fine chemicals, as well as some higher-vo1ume general chemicals.
Pharmaceuticals and fine chemicals included caffeine, aspirin, phenophaline, benzoic
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acid. Then, in the broader line, it included things like phthalic anhydride and maleic anhydride.
Q Did your work at that time relate in any
way to polychlorinated biphenyls; ? A. No. It did not.
Q - Did it relate to the product ion of
Aroclor? A . No, it did not.
Q. What is Aroclor?
A . Aroclor is the trade name for a group of Monsanto products that were chlorinated biphenyls. and I believe terphenyls, under the name of Aroclor
Q How long did you work in the engineering
group at the Queeny plant? A . About two years.
Q. What position did you hold next ?
A . My next position was a supervisor of a manufacturing department within the Queeny plant.
Q What type of manufacturing did you
supervise at that time? A . This was chemical manufacturing also,
and the specific product we were manufacturing was
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benzoic acid. Q. How long did you hold that position? A. I believe it was about three years. Q. During that three-year period, did
you -- were you the supervisor for the manufacturing of any other products?
A. No. I think only that product. Q. What position did you hold next? A. Next, I moved to a department within the Queeny plant that was responsible for the maintenance and construction of chemical equipment. The title of that job was maintenance supervisor. Q. What year was that that you moved into that position? A. I'll have to do some arithmetic here to answer your question. That was about 1955. Q. What products did that position involve? A. That position, we were responsible for individual projects within the Queeny plant from either a maintenance or a new construction point of view. During that three-year period, I probably worked on every product in the Queeny plant at some time or another.
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Q. Did that include Aroclor? A. I don't recall. If there were Aroclors used or manufactured in the Queeny plant, I don't recall it. I don't recall.
May I note to you that this is now 1995? The time of your questioning is 40 years ago.
Q. I appreciate that, and I also appreciate your time here and your answering these questions.
A. Well, there will be -- you will hear "I do not recall" from me a lot today because we're talking about a time frame that is many years ago, and as you will soon find out, I've been through many other jobs since that time.
Q. Well, I would ask you to answer to the best of your ability.
A. Sure. Q. During the period that you were maintenance supervisor, did you ever do any work on air compressors? A. I do not recall. Q. Have you ever done any work on an air compressor in a maintenance capacity? A. I would say I probably did, but I do not
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recall a specific item or Q. Are you familiar with how air
compressors operate? A . Generally, yes. Q. What is your familiarity with air
compressors and how they operate? A . As a chemical engineer, air compressors
would have been one type of equipment that we studied. Within a chemical manufacturing plant, there were several processes that I can think of that used high volumes of compressed air. All chemical manufacturing plants at that time operated on instrumentation that used compressed air, so that it would only be logical for me to assume that, during that point in time, I probably supervised some work on air compressors, but I do not recall a specific piece of equipment or a specific instance.
Q. During the period that you were maintenance supervisor, how many air compressors were located in the Queeny plant?
A. I do not recall that. Q. Do you recall if it was more than five? A. I have no idea. Again, back to my prior
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comment. I know that there were some chemical processes that used air compressors, including the benzoic acid process that I started out with. That was an air oxidation of toluene. We used compressed air. I don't happen to recall where that air compressor was or what it looked like.
Q. Did the air compressors that were used at the Queeny plant require a fire-resistant lubricant ?
A. I don't recall. Q. Do you recall if air compressors at the Queeny plant used any type of industrial lubricant? A. I cannot recall that either. I cannot recall any one specific air compressor in the Queeny plant. Q. How long did you hold the position of maintenance supervisor? A. About three years. Q. What position did you hold next? A. The position was called maintenance superintendent, which is in the same department, but it's the next level of supervision. Q. Was that in 1958 that you became maintenance superintendent?
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A . I be 1ieve it was , yes .
Q How long did you hold that position?
A . For four years .
Q Was that also in the Queeny plant?
A . Yes , it was.
Q What were your respons ibilities as
maintenance superintendent? A. Supervising a group of six to eight
engineers who, themselves, were maintenance supervisors, as I had been previously. My real recollection of that period was spending many, many hours negotiating with the union board, which I remember as consuming three-fourths of my time.
Q. During that four-year period?
A . Yes.
Q. What position did you move to next?
A . Next , I transferred to a c hemic a 1 manufacturing plant of Monsanto's in West Virginia. The town was Nitro, West Virginia. I transferred there as a production superintendent.
Q. For which products were you production superintendent?
A. The products were rubber chemical products; specifically, chemicals used in the
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manufacturing of automotive tires. Q. How long did you hold that position? A. For two years. Q. From 1962 to 1964? A. Correct. Q. During that time period, did you do any
work that involved air compressors? A. Not that I recall. Q. Do you recall if air compressors were
used in the production of rubber chemicals at the Nitro, West Virginia plant?
A. I don't recall. Q. What position did you hold next? A. I became plant manager of that manufacturing plant. Q. That was in 1964? A. Correct. Q. How long did you hold that position? A. For four years, until the summer of '68. Q. While you were plant manager, did your responsibilities involve any products other than rubber chemicals? A. Yes. As plant manager, your
include all products manufactured
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at that plant. So, in addition to the rubber
chemicals that I had previously, we had a series of
agricultural chemicals; herbicides, specifically.
In addition to that, there was some
agricultural chemicals that were feed supplements
to animals. I believe there were also some
petroleum additive products manufactured there.
Q. With respect to the herbicides that were
manufactured at that Nitro plant, did those
herbicides include any Aroclors?
A. Herbicides and Aroclors are two
different categories, in my mind.
By herbicides,
I mean weed killers. So I don't believe we
manufactured anything in the Aroclor family.
Q. How would you determine the
effectiveness of a herbicide?
A. Well, that would have been done by a
research or development group, not by the
manufacturing plant, in the first place. But in
broad terms, the way you find the effectiveness of
a herbicide is you try it out. You spray it on
some weeds and see what happens. But that would
have been done by a research and development
group. That would not have been done at the Nitro
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plant.
Q. As plant manager at the Nitro plant, did
you have a research and development department that
reported to you?
A. Not for new product development, no.
Q. For existing product development?
A. We had some chemists who worked on
existing product improvements, and we had some
engineers who worked on process improvements within
the Nitro plant, but we would not have worked on
any new products.
Q. During the period that you were plant
manager at the Nitro facility, did you have any
researchers who reported to you who were involved
in determining the effectiveness of existing
herbicide products manufactured by Monsanto?
A . No .
Q. Were you responsible for any of the work
done by such individuals?
MR. CHAMBERSt Object to the form.
When you
say "responsible for," what do you mean? It's
vague.
BY MR. DUFF:
Q. In terms of a direct or indirect
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1 reporting relationship within a corporate '' 2 s true t ure.
3 A. Would you go back and start the question
4 over, please ?
5 MR. DUFF: Would you please read the question
6 back to the witness?
.7
(The pending question was read.)
8 MR. CHAMBERS: I'll add to the objection that
9 I guess it lacks foundation since he just testified
10 there weren't any such people who reported to him.
11 How could he be responsible for them if they did
12 not report to him?
$ 13
MR. DUFF: Indirectly.
14 Q. In other words, if another individual
15 reported to you who was responsible for work of % 16 such individuals.
17 A. I would consider that still directly
18 responsible, but the answer to the question is
19 still no.
20 Q. Thank you.
2 1 What position did you hold next within
2 2 Mo n s a n t o ?
23 A. Next, I transferred back to St. Louis to
24 Monsanto's headquarters, and the title of the job
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was project director. The project that I worked on was the building of a new plasticizer facility in Texas City.
Q. Texas City, Texas? A. Correct. Q. You supervised the building of that facility from St. Louis; is that right? A. That's right. Q. Was there an existing plasticizer facility in Texas City at that time? A. No, there wasn't. Therewas an existing Monsanto chemical manufacturing plant, but we had no plasticizer operation there. This was a new, large manufacturing operation at the Texas City plant. Q. What was the intended capacity of that new plasticizer facility in terms of manufacturing
A. My recollection is that that was a 100 million pounds per year manufacturing operation.
Q. Did the manufacture of plasticizers at that time include Aroclor products?
MR. CHAMBERS: Object to the form. You mean
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the manufacture at this facility or anywhere? BY MR. DUFF:
Q. At this facility. A. At that time, at the Texas City, Texas plant there were no plasticizers manufactured. The facility that we were constructing at that time was the first plasticizer manufacturing operation at Texas City. It was called Santicizer 711, and it was not related to the Aroclor family of products, not chemically related to the Aroclor family of products. Q. So none of the plasticizers that were to be manufactured at the Texas City facility were to contain PCBs; correct? A. That is correct. Q. Were there other plasticizer facilities that did produce products containing PCBs? A. Well, at that point in time, PCBs or Aroclors were manufactured somewhere in Monsanto. They existed at that point in time. Is that your ques tion? MR. DUFF: Would you please read the question back for the witness?
(The pending question was read.)
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BY MR. DUFF: Q. Do you understand the question? A . No, I don't. Q. Did Monsanto manufacture plasticizers
that contained PCBs in 1968? A. Yes, Monsanto did. Q. Do you know where Monsanto produced
those products that contained PCBs? A. My recollection is we produced that
product in Anniston, Alabama. I have a vague recollection that we produced Aroclor products somewhere in Europe, probably in the UK. That's my recollection of where we produced those products.
Q. How long did you hold the position of project director in St. Louis for building the new plasticizer facility in Texas City, Texas?
A. Let me -- well, I'll answer it this way .
Sometime in 1970, I changed from that project director job to a job that was called plasticizer business director, and I don't remember the specific date.
Q. That was in 1970, though? A. Somewhere in 1970. May I go a notch
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farther and you'll understand my confusion in
times.
Q. Was there a change in your
responsibilities from the time that you became
project director to the time you became plasticizer
business director?
A. Yes.
Q. When did that change -- did more than
one change occur during that time period in your
responsibilities?
A.
No.
Well, in 1970, I became the
plasticizer business director, sometime in 1970.
Now, when I became the plasticizer business
director, I was then responsible for the research
and development, manufacture, sales and
profitability of all of the plasticizer products.
So the project that we were working on at Texas
City then was one of a series of plasticizers that
I was responsible for. I was responsible for the
whole series.
Q. Prior to the time you became plasticizer
business director, and while you were project
director, was there a change of your
responsibilities during that time frame? In other
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words -- let me ask the question this way. From the time that you became project
director in the summer of 1968 until you became plasticizer business director, was your sole responsibility for overseeing the building of the new plasticizer facility in Texas City?
A. Correct. Yes, it was. Q. You did not have any other responsibilities during that time period? A. No. Let me go back and change the date a little bit as to when I became plasticizer business director. Previously I said 1970. I think that was probably sometime in 1969.
My timing, my ability to remember specific times, is affected by the following: 1968, I went back to St. Louis for the project director job. Sometime a year or so later I became the business director of plasticizers. Sometime within the next two years I became the general manager, plasticizers and general chemicals. Sometime within the next two years I became the general manager, detergents and phosphates; and, in 1975, I moved to the West Coast as the general manager of electronic materials. So my problem is
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I went through about four jobs in five years and my
dates are not clear in my mind.
Could I give that sequence to you
again? Would that be helpful?
Q. I think that I have it.
A . Okay.
Q. Although I'llappreciate your patience
if I need to work through it a little bit as we go
through things today.
A. Al1 right.
Q.
Prior to thetime
youbecameplasticizer
business director, did you have any
responsibilities for any products that contained
PCBs ?
A. I did not.
Q. So it was when you became plasticizer
business director in 1969 that you first had such
responsibilities?
A. That is correct.
Q. When you became plasticizer business
director, who did you report to?
A. A man named Ernie Robson, R-O-B-S-O-N.
Q. What was his position?
A . He was the general manager of
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plasticizers and general chemicals and possibly something else.
Q. Do you know who he reported to at that time?
A. No, I don't recall. Q. During the period that you were plasticizer business director, did you report to anybody other than Ernie Robson? A. I don't think so. I think only Ernie Robs on. Q. How long did you hold the position of plasticizer business director? A. I believe about three years. Q. To approximately 1972? A. Correc t. Q. I'm going to return to that time period in a moment, but I just want to complete your history at Monsanto quickly.
You said in approximately 1975 you became general manager for electric materials; is that right ?
MR. CHAMBERS: Let me object to the form. I think it was electronic rather than electric materials.
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MR. DUFF:
I'm s o rry.
I have
here in
front of me in an interrogatory response from
Monsanto. I'm sorry if I was mistaken.
Q. Is that right, that you were general
manager for electronic materials in approximately
19 75 ?
A. Correct.
Q. How long did you hold that position?
A. Essentially the same position until I
retired in 1989, with one caveat; that sometime
about 1985 we changed the title to president of
Monsanto Electronic Materials Company, but the
assignment was not significantly different.
Q.
So, from 1975 to 1989,
you essentially
ran the electronic materials company; is that
right ?
A. That's correct.
Q.
Did you retire fromMonsanto in
1989?
A. Yes, I did.
Q. Have you been employed inany other
capacity since you retired from Monsanto?
A. One year after I retired, I had a
consulting contract with Monsanto; and then
continuously, since that time, I have been a member
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of the board of directors of a small company where we are paid for those services. But other than that, I have not been employed.
Q. What type of consulting work did you do for Monsanto during the year after you retired from Mons anto ?
A. When I retired in 1989, we sold that business to a German company, so my consulting work with Monsanto was cleaning up odds and ends as a result of the sale of that business to Monsanto. So it had to do with electronic materials.
Q. When did you become a member of the board of directors for this small company you referred to?
A. About 1982. Q. That was while you were working for Monsanto? A. Correct. Q. What's the nameof that company?' A. Asyst Technologies, A-S-Y-S-T, Technologies. Q. Are you still a member of the board of directors for Asyst Technologies? A. Yes, I am.
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Q. Do you have a position on that board of directors ?
A. Well, on a board of directors, to the best of my knowledge, you're either a chairman of the board or a member of the board. I'm a member of the board.
Q. What type of business is Asyst Technologies in?
A. They manufacture equipment for the semiconductor industry.
Q. I'd like to return to the period when you became general manager for plasticizers and general chemicals. Was that in 1972?
A. Yes, I believe that's correct. Q. How long did you hold that position? A. For two years, until 1974. Q. What position did you hold next, after t hat ? A. 1974, I became general manager detergents and phosphates. Q. Did you hold that position until you became general manager for electronic materials? A. Correct, in 1975. Q. Did you attend the advanced management
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training courses at Stanford while you were general manager for detergents and phosphates?
A. That's correct. Q. Did you receive adegree from Stanford? A. No, you don't. It's an executive business course. Q. I'm going to backtrack on education again.
When you received your master's from Washington University in St. Louis, did you prepare a thesis?
A. Yes, I did. Q. What did your thesis relate to? A. It related to the factors affecting the fluidization of fine particles, which is beneficial in certain chemical processes. Q. Could you explain what "fluidization of fine particles" means? A. Yes. In some chemical processes, you use fine particles, which are catalysts, in certain types of reactions, and you want these fine particles, either in an air stream or a gas stream, to behave like a fluid rather than like a solid. So if you put enough air or enough gas through a
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bed of these fine particles, they behave more like a fluid.
Q. What type of particles did your work relate to?
MR. CHAMBERS: Let me object to the form. When you say "work," are you talking about the thesis?
MR. DUFF: Yes, I am. MR. CHAMBERS: Okay. THE WITNESS: The particles I was working with was the medium that is normally used to dry air. If you wish to dry a large volume of air, this is the medium that would normally be used to dry air. The reason I was using that particular medium is, the way I was checking the effectiveness was to measure the water content of the air that was going through my fluidized column, check the- water content in and check the water content out, and you were measuring the effectiveness of this fluid bed.
So the particles I was using was chemically -- I don't remember what the name of it was, but it's the kind of particle you would use if you wanted to dry large volumes of air.
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1 Q What type of equipment did you use?
) 2 A . Columns of -- glass columns, so you 3 could see the effectiveness of different flow rates 4 of air through the column; measuring equipment for 5 volumes of air in and air out; measuring equipment 6 for the humidity of the air in and the air out.
7 Q What type of measuring equipment?
8 A . What type of measuring equipment? 9 MR. CHAMBERS: By name? 10 BY MR. DUFF:
11 Q Not necessarily by product name, but if
12 you recall the generic description of the 13 equipme nt. 14 A. Well, in the case of measuring moisture 15 content of air, you use a hydrometer. 16 In measuring air volumes, I don't recall 17 what I did now .
18 Q Did you do any work with gas
1 9 chromatography? 2 0 A . I did not.
2 1 Q. Did you do any work with mass
2 2 spectrometry? 23 A . I did not.
24 Q- What level of measurement -- strike
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that .
What quantities did you measure
particles in?
A. I'm sorry?
Q. What quantities did you measure
particles in in conjunction with your work?
MR. CHAMBERS: Let me object to the form.
When you say "what quantities," are you referring
to how they measure the size of the particles?
BY MR. DUFF:
Q. In other words, were you able to measure
particles in parts per million, parts per billion
or any other type of quantity?
A. No. In the work that I was doing, I was
measuring the effectiveness of a fluidized bed, but
measuring it in grams of water in, grams of water
out, and in rather gross terms, if you will.
What I was trying to do was to develop a
mathematical model of what the effect of various
flow rates of air would be in a glass column filled
with very fine particles. In order for a fluid bed
to be effective, you have to have air flows going
through that are high enough to fluff up all this
solid material.
If your air flows get too high,
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the air goes through too fast and the bed is not affected. So I was working on a mathematical model of what are all the factors that affect the fluidized bed. Fluid bed chemical reactions are most commonly used in the petrochemical industry, petroleum refining. That's the most practical use.
Q. When you became plasticizer business director in 1969, what responsibilities did you have with respect to PCBs?
A. My overall responsibilities had to do with the research and development of plasticizer products, the manufacturing of the plasticizer products, the sales of those products and the profitability of those products.
Now, the PCBs or the Aroclor family of products was one of the series of products that we had as plasticizers. We had probably 30 different products in the plasticizer line, and we had several Aroclor products within that group of 30. My recollection would be that the Aroclors constituted 10 percent of our total plasticizer produc t 1ine.
Q. What plasticizer products contained Aroclors at that time?
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A.
What products?
I'm sorry.
MR. CHAMBERS: By trade name?
BY MR. DUFF:
Q. You said that there were approximately
30 different plasticizer products; correct?
A. Correct.
Q And you said that some of those
products contained Aroclors; correct?
A . Some of those plasticizer products were
Aroclors
Santicizer 711, the plant that I built
in Texas, different chemistry, has nothing to do
with Aroclors. We had a very large one in New
Jersey called butyl benzyl phthalic; nothing at all
to do with Aroclors. We had a series of phosphate
ester plasticizers; nothing to do with Aroclors.
In total, we had probably 30 different
plasticizer products. Some of the 30, 5, 6, 7, 8
of the plasticizer products were Aroclor products;
and in the plasticizer business, we did not mix
product A with product B. We sold reasonably pure
compounds as plasticizers.
Q. What plasticizer products were Aroclors?
A. My recollection was that we had some
Aroclor number so and so, or in some cases these
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were also called Santicizer number so and so, that were Aroclors. But I don't recall the specific number of the Aroclor that was used as a plasticizer.
Q. Do you recall any of the names of any of the plasticizers that were Aroclors?
A. Well, my recollection would be that we sold Aroclor 1240, or whatever the number may be, we sold it that way, Aroclor 1240, and it went into a plasticizer use in the end market.
Q. So, for instance, a product might be called Aroclor 1254. Is that what you're saying?
A. Yes. We would sell it -- I don't remember the numbers or the nomenclature, so I can't verify what you're telling me there. I just don't remember. But we would sell it as an Aroclor number so and so, whatever it was, to the customer. That's my recollection.
Q. For what applications did you sell Aroclors as plasticizers?
A. Right. The uses that I remember were carbonless carbon paper usage. In other words, the Aroclors were mixed with the ink and put on the back of paper for carbonless carbon paper.
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There were some uses in what they called
hot-melt adhesives.
So if you were manufacturing
a cardboard box, you would use an adhesive with a
hot melt, so the Aroclors were used in that glue,
if you would.
I remember Aroclors being used with
plastic, combined with plastic materials to form
sealants for windows, glass windowpanes as a
sealant .
Some strange, unusual uses, like there
is a table lamp called a Lava Lamp that looks like
it has flowing lava in it. The little bubble
slowly goes up, and the little bubble slowly goes
down. That was an Aroclor plasticizer.
Q. Do you recall any other applications for
Aroclors as plasticizers?
A. I remember one other application. It
was a paint application. It was used in heavy-duty
paint like the stripe on a highway. But I don't
recall others.
Q. Other than as related to the research
and development and manufacture and sales and
profitability of plasticizers, including Aroclor
used as plasticizers, how else did you have
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responsibilities relating to PCBs when you were plasticizer business director?
A. Would you repeat that? Q Certainly. MR. DUFF: Would you please read the question back to the witness?
(The pending question was read.) THE WITNESS: I guess I still don't understand, because I was the business director of plasticizers, and I was therefore responsible for all elements of that business as the Aroclors were used for plasticizers. So I apparently don't understand what you're getting to. MR. CHAMBERS: I don't understand it either, so don't feel like the only one. BY MR. DUFF: Q. Did there come a point in time when you learned that Aroclors or PCBs -- strike that.
Did there come a point in time when you learned that PCBs were an environmental contaminant?
A. Yes. Q. When was that? A. Well, there was a period of time
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somewhere in the 1969-'70-'71 period when we first heard of the peregrine falcon on the West Coast and the thin eggshells and the baby chicks that did not hatch properly. So that started, or that was one of a series of things that happened over the next couple of years.
The next thing that happened was there were some university laboratories that were looking for environmental contaminants, specifically herbicides, and were finding compounds at the part per billion and part per million levels that they were not able to identify, so there was then an ongoing series of discussions with those laboratories, series of communications with those laboratories, and with the U.S. government, between Monsanto people and those discovering some unknown material in the environment.
So, over this period of time, Monsanto proceeded to investigate this system also, to try to understand what it was that was being found. I remember we worked with a lot of laboratories. We sent samples of Aroclors back to the laboratories so they could compare with what they were finding. They shared information with us; we shared
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information with them. Over a period of time, we became convinced that there was some environmental contamination as a result of some PCBs .
Now, all that took a period of time. Q. Was there a committee formed to look at the environmental problem relating to PCBs? A. Yes. Early on, there was a task force put together because the Aroclors were being sold by two different business units of Monsanto. So there was a task force put together representing both of those business units, and Monsanto's medical and toxicity groups were involved. This task force assumed the responsibility of looking into this problem and then reporting back to the two business units involved as to what they were finding and what they believed. Q. Were you a member of that task force? A. No. A member of my group was on that task f orce. Q. Who was that ? A. I believe it was our director of research, Martin Farrar, F-A-R-R-A-R. Q. What were the two business units that were represented by the task force?
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A. Well, ours was the plasticizer business unit, and I'm not sure of the name that was used on the other unit at that time. It was probably functional fluids, but I'm not sure of that.
MR. DUFF: Mr. Springgate, I'd like to show you a document that's been previously marked as Plaintiff's Exhibit 172. This document is dated March 6, 1969 and bears production numbers TRAN 058343 through 45. Please take as much time as you need to review this document.
(Previously marked Exhibit 172 was shown to the witness and is annexed hereto.) THE WITNESS: Okay. BY MR. DUFF: Q. This is a document that you received from W.R. Richard on or about March 6, 1969;
A. I don't recall your quotation of the man sending it, and the fact that I'm one of the copyees is correct, but I don't recall the memo.
Q. You're a copyee of this memo; correct? A. That's what it says here. Q. Was it the custom and practice in
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Monsanto at that time to deliver documents to
everybody who it was addressed to?
A. I would think that's true, yes.
Q. Was it your custom and practice, when
you were business director for plasticizers, to
read all documents that were addressed to you?
A. I don't believe that can be answered yes
or no. I did try to read all documents that were
sent to me that I thought were of some significance
or required my action. In business, you obviously
get some documents that you scan, and you get some
that you read critically. Generally, I at least
reviewed everything that came to me.
Q. Was the presence of PCBs or Aroclor in
wildlife a significant issue to you in March of
1969?
'
A. It became a significant issue to us over
a period of time. I don't recall the dates.
Q. Was this a document that you would have
expected to have reviewed carefully at the time it
was sent to you?
A. Again, it's not quite a yes or no
because early on we did have a task force that we
had assembled and we were in a period of scientific
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1 evaluation, trying to understand what the situation
2 was. So, depending on whether it was a scientific
3 dissertation, I would have expected someone in my
4 group who was the scientist to handle this
5 subject.
6 So I don't recall how I would have
7 looked at this memo in 1969.
8 Q. To the extent that a document sent to
9 you in 1969 related to sales or research and
10 development or marketing or manufacturing or
11 profitability of plasticizers, would that have been
12 a document that you would have reviewed carefully?
13
MR. CHAMBERS: I object to the hypothetical
14 form of the question. If you're asking as a
1 5 general proposition, I suppose that's fair.
\ 16
THE WITNESS: Should I answer that?
17 MR. CHAMBERS: Yes. You should respond.
18 THE WITNESS: Yes, generally I did review such
19 documents.
20 BY MR. DUFF:
2 1 Q. Does this document refresh your
2 2 recollection regarding what your position was in
2 3 March of 1969?
24 %
A. No, it doesn't.
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1 Q. Seeing your name on this document as a
2 copyee in this context, does this suggest to you
3 that you were plasticizerbusiness director at this
4 time?
5 MR. CHAMBERS: Object to the form. Anybody
6 can read the document andinterpret it.
)7
You can respond.
8 MR. DUFF: This witness has the benefit of his
9 own experience.
10 MR . CHAMBERS: You know, if it refreshes him
11 as to what that was, fine. Then he should s hare
12 that refreshed recollection with us.
13 MR . DUFF: That's the question.
14 MR . CHAMBERS: Okay.
15 THE WITNESS: That doesn't help me in that ) 16 regard, so no, I don't recall.
17 BY MR. DUFF:
18 Q What was the problem that faced Monsanto
19 with respect to the accumulation of Aroclors in
20 wildlife in 1969?
2 1 A. What was the problem?
22 Q. Yes.
2 3 A. That faced Monsanto.
24 MR . CHAMBERS: I object to the form o f the
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question, but if you're able to respond, go ahead. THE WITNESS: What was the problem that
affected Monsanto. I don't see how I can answer that. I can only answer what I thought I faced. BY MR. DUFF:
Q. Please answer in that way, then. A. We had indications, again, from the peregrine falcon case and from the university laboratories, that they were picking up compounds in the environment that appeared to be PCBs. We needed to find out if these were truly PCBs, because if they were, we would either have to change the methods or the distribution methods by which we were selling PCB. In other words, limit certain areas, if that was necessary. But we needed to solve the problem.
Now, Monsanto is a science-based company. We needed to understand the science behind, number one, were these really PCBs, and number two, if they were, how did they get there. Then, number three, what were we going to do about it. So we needed to solve all those problems.
Now, in the meantime, as we went down this road, at first, we even doubted that these
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were truly PCBs. We thought they were probably some naturally occurring substance that was winding up in the waterway, because we had been in this business and had been manufacturing Aroclors for a long time and had never had any problems with them, and we couldn't understand why, all of a sudden, they seemed to be appearing in the environment.
So we had to find out what the problem was, and then, if it was truly an environmental contaminant, we would have to take whatever steps are necessary to reduce that contamination or eliminate it.
Q. You say that Monsanto was surprised that PCBs were showing up in waterways; is that right?
A. I can't speak for Monsanto. I can only speak for where I was and what I was doing at the time. But I can answer from my point of view, if you wou1d .
Q . Certainly. A. We were surprised because PCBs are extremely insoluble in water, and we could not understand how the PCB would wind up in waterways. So wg were required to do a lot of work to try to understand how to get from point A to point B, and
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we had to do a lot of work for a good reason. We had a series of customers, and these customers were in business, and we were the supplier of a raw material.
When you're a supplier of a raw material to a customer, you cannot ethically, arbitrarily, shut them off. You have to, if you go back on the other hand and say, "This is a problem product because," then you can work with your customer and tell them that you're going to have to go out of business, if necessary. But you can't do that arbitrarily. You have to have the reason to do it. You can't ethically shut off your customer arbitrarily.
Monsanto is a very ethical company, very conservative company. They wanted to do things right. So we had to go through all the steps to find out is this truly a PCB, how did it get there, and then what can we do about it. That's what we spent -- I don't remember whether it was months or a couple of years doing. But that's what we did.
Q. Prior to this time, do you know if Monsanto had ever checked waterways to see if PCBs were present previously?
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A. I don't knnooww.. I would comment, however,
that at this point in time, most of the PCBs that
were originally detected, the work was done by
people who were looking for herbicide
contamination.
Herbicides meaning DDTs and the
2,4,5-Ts, and they were looking at extremely low
levels, parts per billion, parts per million. So
they stumbled on it, if you would. There was
nobody out there specifically taking samples of the
Mississippi River to find out what any contaminant
may or may not be there.
Q. So, is it your understanding that
Monsanto had never checked waterways for the
presence of PCBs before this time because that
question had not been posed?
MR. CHAMBERS: Object to the form. Lacks
foundation and assumes facts not in evidence.
THE WITNESS: I don't know what Monsanto had
done previously. It's a big company and a lot of
people doing a lot of things. All I do know is,
within my particular business group, we had not
checked waterways looking for PCBs .
BY MR. DUFF:
Q. I'd like to direct your attention to the
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second page of this document. Specifically, a paragraph in the middle of this page that begins "We can take steps..."
Do you see that? A. Yes. Q. Did you discuss with others working with Monsanto's larger customers to minimize pollution, from their plants, of Aroclors? A. My background is only with the plasticizer end of the business. I can only speak to that. In the plasticizer end of the business, the answer to your question would be yes. We either discontinued the sale of the product, but we also had customers who still had some of the product. So we had to set up a system of disposal of the product. So, from the plasticizer's point of view, the answer is yes, we did that. Q. Did you work with all of your plasticizer customers that were purchasing PCB-containing plasticizers? A. To the best of my knowledge, we did. Q. As the business director for the plasticizer group, was it your opinion at that time that the responsible thing to do would be to work
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with all of your customers relating to minimizing
pollution of Aroclors from their plants?
A. From the plasticizer point of view,
that's what we attempted to do was to work with
each of our customers; but, as you might expect,
the customer himself took the final steps rather
than Monsanto.
Q. Was it important, at that time, to work
with each customer or only some customers?
A. We attempted to work with every
customer.
Q . Why is that?
A. Well, we thought that it was necessary
to work with every customer, who had purchased the
material, to understand the problem and, if they
had any PCBs, to properly dispose of them. So we
had no reason to skip a customer.
Q. Would it have been irresponsible to have
purposefully skipped customers at that time?
MR. CHAMBERS: Object to the form.
Hypothetical. Assumes facts not in evidence.
It's
vague.
THE WITNESS: I would say that's not
Monsanto's way of doing things.
We're a very much
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aboveboard and ethical operation. BY MR. DUFF:
Q. Do you recall the work of a man named Robert Risebrough relating to PCBs about this time?
A. I have seen that name in some papers, either this one or some I reviewed casually yesterday. But, without that review, I do not recal1 that, no .
Q. In this memo that Bill Richards sent to you on March 6th, 1969, he discussed Risebrough's work at the bottom of the second page; is that correct ?
A. Yes, apparently that's correct. Q. Risebrough published a paper in Nature magazine in December of 1968; correct? MR. CHAMBERS: Objection. THE WITNESS: That's what it says here, but I don't recall it. BY MR. DUFF: Q. In this memorandum, Bill Richard told you that there is no question of identification with respect to the work of Risebrough; is that right? A. I don't recall that, but if that's what
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this paper says, I don't know. I haven't read it
in that detail. Shall I read it in detail?
Q. Please take as much time as you need to
review this document.
A. Number one is I don't recall any of
this. Number two is I don't reach the same
conclusion as you do. The last sentence says,
"This is a rough one because it could mean loss of
business on empty and false claims by Risebrough. "
Q. In connection with Risebrough's work,
did Bill Richard say, "It is timely, perhaps
imperative, that this paper and its implications be
discussed with certain customers"?
A.
I do not personally recall that.
If
that's what this paper says -- where is that
wording ?
Q. He said that in the last full paragraph
on the second page; correct?
A. I agree that that's what this paper
says, but again, I don't recall this.
Q. Why not discuss Risebrough's paper with
all customers?
MR. CHAMBERS: Object to the form to the
extent you're asking him to speculate about what
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Dr. Richard had in mind when he wrote this; but, if
you're able to respond, go ahead.
THE WITNESS: I can't respond to that. I
don't know what Bill Richard had in mind.
BY MR. DUFF:
Q. Did you discuss Risebrough's paper with
all of your plasticizer customers at this time?
A. I don't recall that one way or the
other. I don't recall.
Q. Did you tell Bill Richard that Monsanto
should talk with all of its customers relating to
Risebrough's work?
A. I don't recall the subject of this paper
or that conversation with Bill Richard.
I don't
recall.
Q. Did you ever tell Bill Richard that
Monsanto should talk with Tennessee Gas relating to
Risebrough's work?
A. I do not recall. On that particular
subject, I have no reason to have had a
conversation in regard to a customer of the other
marketer of Aroclors. I had -- I'm quite sure I
had no input as to how the functional fluids group
handled their customers.
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Q. Was Tennessee Gas ever one of your cus tomers?
A. Not to the best of my knowledge. Q. Was Tenneco ever one of your customers? A. I don't remember Tenneco ever being an Aroclor customer. I remember Tenneco Chemical being a customer of ours and a supplier of ours, but when I was in one of these other businesses, not in regard to plasticizers. Q. With respect to what business was Tenneco Chemical a customer and/or supplier? A. I think it was probably when I was general manager of the general chemicals group, plasticizers and general chemicals. Q. Do you recall what Tenneco Chemical purchased from Monsanto? A. No, I don't. I do recall the names of a couple of people there that we met with from time to time. Q. What are their names? A. One of them was a man named Larry Wigdor, W-I-G-D-O-R. Now I can't recall the name of the second gentleman, but I met him again five years ago and spent a lot of time with him, because
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22
23 24
he wound up being an intermediary in the business that we sold. At this moment, I can't recall his name .
Q. Do you recall any conversations with either of those gentlemen in the nineteen -- at any time prior to 1980?
A. I know I've met with those people prior to 1980.
Q. Do you recall any specific conversations with them?
A. No, I don't. I would also think it was not related to the Aroclor or PCB business. I have a vague recollection it had to do with the general chemicals family that I was with.
Q. Do you recall what Tenneco Chemical supplied Monsanto with?
A. No, I don't. Q. Getting back to Exhibit 172, on the last page of this document, the last full sentence. Bill Richard asked you for comments; is that right? A. I don't recall that, but that's what the paper says. Q. Do you recall if you -- strike that.
Did you ever give Bill Richard any
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comments on the information set forth in this memorandum?
A. I don't recall that one way or the other.
MR. CHAMBERS: Can we go off the record? MR. DUFF: Yes.
(There was a brief recess.) BY MR. DUFF:
Q. Mr. Springgate, during the break, did you recall the names of the individuals who you were familiar with at Tenneco Chemicals?
A. Yes. The second name that I couldn't think of was Joe Fath, F-A-T-H.
Q. Were there any other names that you recall?
A. Not that I recall. Q. Do you recall any conversations with Joe Fath relating to Aroclor? A. I do not. Q. Do you recall any discussions with Joe Fath relating to PCBs? A. I do not. Q. Do you recall any conversations with Joe Fath relating to products purchased by Tenneco
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57
1 Chemicals or supplied by Tenneco Chemicals to
2 Mons a nto ?
3 A. I recall conversations with him, but I
4 cannot tell you what the specific product was.
5 Q. Do you recall the general subject matter
6 of any of the conversations you had with him?
7 A. The subject matter would have been
8 either selling Monsanto products to him or buying
9 products from him.
10 Q. Do you recall anything more specific
11 than that?
12 # 13
A . No, I don't. MR. DUFFs Would you please mark this document
14 as Plaintiff's Exhibit 401.
15 '' 16
(Plaintiff's Exhibit 401 was marked for identification.)
17 BY MR. DUFF:
18 Q. Mr. Springgate, this document has been
t. ' 19 marked as Plaintiff's Exhibit 401. It bears
20 production numbers TRAN 057762 through 66.
2 1 Let me ask you at the outset if you
22 recognize the handwriting anywhere on this
23 document.
24 A . No, I don't.
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ii
12 13 14 15 16 17 18 19 20 21 22 23 24
Q. Please take as much time as you need to review this document.
A. Okay. Q. Does your name appear at the top of the first page of this document? A. That is my name on the document,, yes . Q. And these appear to be handwritten notes from a meeting that took place which you attended; is that right? A. That's what it appears to be. Q. Do you recall the meeting that is reflected by these notes? A. No, I do not. Q. Do you recall any meetings that you attended in 1969 relating to the PCB pollution prob1em ? A. I don't recall any specificmeetings. Q. Do you recall that you didattend such meeting s ? A. I recall that we had meetings on the subject, yes. Q. When you refer to "we," who are you referring to? A. Myself; my research director, whose name
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20
21
22
23 24
was Martin Farrar; the research director of the fluids group, who was Bill Richards; and the representative from the medical and toxicity group, who is Elmer Wheeler.
Q. What was Paul Hodges' position at this time? For time frame, I'm talking in 1969.
A . I don't recall. Q. Do you recall what Don Olson's position was in 1969? A. I believe he was the director of marketing of the fluids group. Q. Who was Howard Bergen? A. I believe he was the director of the fluids group. Where I was the director of the plasticizer business group, he was the director of the fluid business group. Q. Who was T. Ford? A. I don't recall. Q. Do you recall an individual named Tom Ford ? A. The name sounds familiar, but I don't recall that person. Q. Who was E. John? A. I think that was Ed John. I believe he
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was a member of the public relations department. Q. Were the individuals whose names are
reflected at the top of the first page of this document on a PCB committee in 1969?
A. I don't recall that. I recall the PCB task force that we had in operation, but it was somewhat different than this list of people.
Q. How did the PCB task force come into being?
A. Since we had two different business units selling PCBs, we were trying to determine whether we truly had an environmental contamination, and if so, where did it come from.
Rather than two units operating independently, we formed a task force that consisted of Wheeler, from the medical department; Martin Farrar from our plasticizer group -- he was our research director; Bill Richards from the fluids group, a research director; and I believe Ed John was on it, representing public relations depa rtment.
There were probably others, but those are the ones I remember.
Q. Were they appointed to that committee?
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A . Yes . Q. Who appointed them? A. My recollection would be that I appointed part of them, representing the plasticizer group, and Howard Bergen appointed part of them, representing the fluids group.
Q Did you appoint Martin Farrar?
A . Yes, I did.
Q. Who else did you appoint?
A . I don't recall.
Q. Martin Farrar reported directly to you
at this time; correc t ? A . That's correct.
Q. He was the director of research for your
plasticizer group; is that right? A . That is correct. MR . DUFF: I'd like to show you a document
that has been previously marked as Plaintiff's Exhibit 311. This document is dated August 25, 1969 and bears production number TNGS 009432.
Please take as much time as you need to review this document.
(Previously marked Exhibit 311 was shown to the witness and is annexed
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hereto.) THE WITNESS: Okay. BY MR. DUFF: Q. This is a document that you received from Ed John on or about August 25, 1969; correct? A. That's what the paper says. I don't happen to remember that. That's what the paper would indicate. Q. You're indicated as a recipient of this document; correct? A. That is true. Q. This document was sent by Ed John, who was a member of the PCB task force that you were referring to; correct? A. That's what this paper says, even though I don't recall that. Q. He sent this document to the other members of the PCB task force; correct? A. That's what this paper says. Q. He copied this document to others, including yourself; correct? A. That's what this paper shows. Q. Who was R.J. Stratmeyer? A. Ray Stratmeyer was in the manufacturing
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department of this unit of Monsanto, and at the
time he left Monsanto, he was the director of
manufacturing of the -- I believe what was called
the organic chemicals division. He was a
manufacturing manager.
Q. When you refer to "this unit," do you
mean the organic chemicals division?
A. Yes.
Q. Who was J.J. Spano?
A. I don't recall. That's a familiar name,
but I don't recall.
1
Q. The PCB task force was given the
responsibility of outlining a future program to be
pursued by Monsanto in the manufacturing, marketing
and consumer use of Aroclor; correct?
A. That's what this paper says.
MR. CHAMBERS.* Let me object to the form. I
think you said "consumer use" rather than "customer
use," as the document is worded.
THE WITNESS? That's what this paper says,
even though I don't recall that personally.
Let me expand a bit. I do recall that
there was a task force assigned to this particular
problem. That, I do recall.
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BY MR. DUFF: Q. Is the assignment that was given to that
task force, which is reflected in this document, consistent with your recollection of what that task force assignment was?
A. Yes, I would say that's consistent. MR. DUFF: Please mark this document as Exhibit 402.
(Plaintiff's Exhibit 402 was marked for identification.) BY MR. DUFF: Q. Mr. Springgate, this document has been marked as Plaintiff's Exhibit 402. It is dated August 25, 1969 and has the indication "Draft 8/25/69" at the top of the page as well. It bears production number TNGS 009431.
Please take as much time as you need to review this document.
A. All right. Q. Do you recognize any of the handwriting on this page ? A . No, I don't. Q. Do you recall a draft of this document was circulated to you before it was sent out?
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A.
No, I don't recall that.
MR. DUFF:
I'd like to show you a document
which has been previously marked as Plaintiff's
Exhibit 312.
(Previously marked Exhibit 312
was shown to the witness and is annexed
hereto.)
BY MR. DUFF: Q. This document has the date 8-25-69 and
bears production numbers TNGS 009429 through 30. Please take as much time as you need to
review this document.
A. Okay. Q. Did you attend the meeting as reflected
by these notes?
A. I don't recall.
MR. CHAMBERS:
Let me object to the form.
When you say attend a meeting as reflected by these
notes, is there something you're looking at that reflects Mr. Springgate's presence at this meeting
that I'm missing?
Otherwise I would object on the
grounds that the document does not reflect
Mr. Springgate's presence at such a meeting.
BY MR. DUFF:
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Q. You said earlier that you appointed
Martin Farrar to a PCB task force; correct?
A. That's correct. Q. On the second page of this document, it
is indicated that a decision was made at the
meeting reflected by these notes to put together a committee which was given the assignment of putting
an overall program on paper.
Martin Farrar was
made a member of that committee; correct?
A. That's what it says, yes.
Q. Did you attend the meeting at which
Martin Farrar was made a member of the committee
that was appointed to put an overall program
relating to PCBs on paper?
A.
I do not recall that, no.
I do not
recall, period.
Q. Did you attend a meeting where Elmer
Wheeler discussed inquiries that Monsanto had
received relating to the PCB problem on or about
August 25th, 1969?
A. I don't recall.
Q. Did you attend a meeting on or about
August 25th, 1969 at which Elmer Wheeler discussed
a study by the Wisconsin Alumni Research Fund?
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A . I do not recall.
Q. Did you attend any meetings when the PCB
problem was discussed?
A.
Yes.
I attended lots of meetings where
the PCB problem was discussed.
Q.
Do you recall any of
those meetings?
A. I beg your pardon?
Q. Do you recall what was discussed at any
of those meetings?
A. Only in general terms.
Q. What was discussed?
A. Back to the things that I do recall, it
would be that PCBs were being found, usually by
university groups, in some waterways of the United
States; and, at one point in time, I remember PCBs
were being found in milk as a result of some cattle
being fed from silage that contained PCBs,
I remember some discussions of contacts with governmental agencies, and a lot of
discussions with university laboratories.
I
remember discussions of the need to add equipment
to Monsanto's own analytical laboratories and the
need to develop some new procedures on identifying
extremely low levels of PCBs.
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I remember those subjects in the
meetings, but I don't remember specific dates or
attendees. Q. Do you recall what was discussed with
respect to the identification of PCBs in waterways
by university groups?
A.
Again, only in general terms.
General
terms meaning there was a family of PCB products,
different degrees of chlorination of the biphenyl.
Most of these products were not 100 percent pure, meaning Aroclor 1250 was not 100.000 Aroclor 1250. It had a little bit of the higher chlorinated chain
and a little bit of the lower chlorinated chain. So if you found PCBs in the environment, you still
weren't sure which product it might have come
from .
There were different
I remember
conversations about the biodegradation of PCBs.
Some products were more degradable than others or
would degrade more quickly than others.
I remember
that kind of subject matter in conversation, but in
, not specifics.
Q. Do you recall what Aroclors were
considered to be biodegradable as opposed to
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Aroclors that were not considered biodegradable?
A . No , I don't.
MR. CHAMBERS:
Let me object to the form.
I
think the testimony was there was discussion about
some of the products that degraded faster than
others, but no testimony about anything being
considered biodegradable or not.
May have been.
Just, I don't think there was a good foundation for
your question. THE WITNESS:
I don't remember the specifics
of the biodegradation data.
The answer is no, I
don't remember the specifics.
BY MR. DUFF: Q. What do you recall -- strike that. What conversations did you have relating
to communications with governmental agencies with
respect to PCBs? A. What I recall is a man named John Mason
who had contacted several governmental agencies to
inform them of what we were finding and to get
their input.
What I recall is that John Mason, who
was a citizen of the UK at the time, became better acquainted with the agencies of the U.S. Government
than most of us who were born and raised and lived
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full time in the United States.
He was finding his
way through the government agencies.
I remember
that very clearly; Q. What did Monsanto tell the governmental
agencies it was finding?
MR. CHAMBERS:
Object to the form.
Lacks
foundation.
MR. DUFF:
He just said that.
THE WITNESS:
I don't recall specifically what
those conversations were about.
I did not have
firsthand knowledge of the conversations.
BY MR. DUFF: Q. What discussions were had with
university laboratories relating to PCBs at this
time? A.
Again, I can't recall specifics.
I do
recall reading reports where various university
agencies, university analytical laboratory groups,
had requested samples of the Aroclor products from
Monsanto, and Monsanto had responded by sending
them samples of the various products so that they
could compare what they were finding with what
Aroclors were as provided by Monsanto.
Q. Do you recall anything else?
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A . No . Q. What additional equipment needed to be
added to Monsanto's analytical labs?
A. either.
I don't recall the specifics of that The generality that I recall was that they
were trying to identify compounds that were appearing in the fish or wildlife in extremely low
levels, meaning parts per billion or a few parts
per million.
This took equipment and techniques
that were different than were normally used by the
analytical group in Monsanto doing this work.
Q. Do you have any experience with
analytical chemistry yourself?
A. Extremely little.
Q. A.
What experience do you have? Analytical chemistry is a requirement
for chemical engineers. Q. Did you take a course in analytical
chemistry when you were receiving your Bachelor of
Science degree?
A. Yes. Q. Beyond that, do you have any other
training or experience in analytical chemistry?
A.
No .
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Q. What procedures did Monsanto need to
develop with respect to low levels of PCBs?
A. I don't have firsthand knowledge of
that, and I don't recall that.
But also I probably
never had firsthand knowledge of that.
Q Who was Swisher?
A . What's the name?
Q Swis her , referred to on the second page of this document.
A. I don't recall.
MR. DUFF:
I'd like to show you a document
which has been previously marked as Plaintiff's
Exhibit 313.
This document is also dated August
25, 1969 and bears production numbers TNGS 009421
through 2 8.
(Previously marked Exhibit 313
was shown to the witness and is annexed
hereto.)
BY MR. DUFF: Q. Let me ask you at the outset if you
recognize any of the handwriting in this document.
A. No, I don't.
Q. Please take as much time as you need to
review this document.
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A.
Okay.
Q. This document reflects notes of a
meeting of a PCB committee on August 25th, 1969;
correct?
A. That's what itsays, yes.
Q. Directing your attention to the last
page of this document, do you have that in front of
you?
A. Yes, I do.
Q. Do you seewhereit says "PCB
committee " ?
A. Yes. Q. And then there are individuals listed to
the right of that?
A. Correc t.
Q. Your name is one of those names; is that
right?
A. That's correct.
Q. Does that refresh your recollection
regarding whether or not you were on a PCB
committee in August of 1969?
A.
It does not.
I think the PCB committee
is probably the group of six.
Q. You're talking about the PCB task force?
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A . Yes . Q. There's a reference to task force on
this page as well; isn't there?
A. Yes . Q. And there's a second column of names
under that; is that right? A. I agree there is a second column of
names.
I don't remember something called a PCB
committee.
Q. Does this document refresh your recollection regarding whether or not you attended
a meeting where the PCB problem was discussed on
August 25th, 1969? A. No, it doesn't.
I don't recall that.
Q. Directing your attention to the first page of this document, do you have that in front of
you ?
A. Yes, I do. Q. Did you ever discuss contacting all customers to assure them there is no way to
contaminate without detection?
A.
I'm sorry.
Would you try that again?
MR. DUFF:
I'm looking at the bottom of the
first page of this document.
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Would you please read the question back,
for the witness?
(The pending question was read.)
THE WITNESS:
I am quite sure I never
discussed contacting Therminol customer one way or
the other.
That was outside the scope of my
plasticizer business.
That was the fluids
business, and I'm sure I didn't discuss their
customer contacts at all, one way or the other.
BY MR. DUFF:
Q. Did you ever discuss contacting all
plasticizer customers to assure them that there was
no way to contaminate the environment with PCBs
without detection?
MR. CHAMBERS:
Object to the form.
MR. DUFF:
Independent of this document.
THE WITNESS:
I don't believe we ever
contacted customers with that specific message.
In the plasticizer business, we tried to
keep our customers informed of where we were on the
investigation of PCBs; but in the plasticizer
business, we eventually discontinued the product.
The point of contaminating without detection was
never an issue that I ever remember discussing.
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BY MR. DUFF: Q. How did you keep plasticizer customers
informed regarding where Monsanto was in the
investigation of PCBs?
A.
My recollection was that the subject of
PCBs was appearing in the public press and in the
scientific press.
So we were questioned by our
customers as to where we were, or sometimes we
would voluntarily tell them where we were.
This
was primarily with our largest customers, meaning
the carbonless carbon paper people, the larger,
more sophisticated companies.
There was one use that had to do with a table lamp that was extremely -- an unsophisticated
customer, and I doubt that we ever contacted him
about the status of PCBs.
Q. Why didn't you contact Monsanto's less sophisticated customers who were using PCBs?
A. Because we didn't, at that point in
time, know which direction we were going to go.
We
didn't know where all this was going to take us.
Some customers were simply not capable of tracking
where we were and where we speculated we were going
to wind up.
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Where people were large customers with sophisticated research groups, they would read in the press that there was a question about PCB
contamination, and they would talk to us, and we would talk to them in return.
Q. Did you discuss where Monsanto was on the investigation of PCBs with plasticizer
customers to help those customers appreciate the significance of allowing PCBs to escape into the environment?
MR. CHAMBERS:
Let me -
THE WITNESS:
You lost me.
MR. CHAMBERS:
Let me ask to have that
question read back again.
MR. DUFF:
Please read the question back for
the witness and for Mr. Chambers.
(The pending question was read.)
MR. CHAMBERS:
Object to the form.
I'm still
not sure I have it, but if you're able to respond,
you may.
THE WITNESS:
Let me work on the last two
phrases.
In order to let them understand the
significance of escape into the environment, the
answer to your question is no.
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BY MR. DUFF: Q. Wasn't it important at that time for
your customers to understand how PCBs were getting
into the environment? A. I think the answer to that is we,
ourselves, were trying to understand how PCBs were
getting into the environment.
So, until we reached
the point in time that we were convinced that we
understood where the PCBs were coming from, we didn't really have a recommendation for our
customers.
That's the problem.
May I elaborate a bit?
When we started
out and originally found PCBs in the environment, we lined up the most probable cases and the least
probable sources.
Now, this was a changing picture over time because originally we weren't sure there
were PCBs at all.
Then we became convinced there
probably were PCBs, so the question is which ones.
Over this time frame, you start to speculate on how does this wind up in the
environment.
Originally we thought that some
closed systems, like those used for transformers,
probably did not escape into the environment, and
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therefore that was reasonably safe.
We looked at
things like the sealant around a window and said
that's not likely to escape into the environment.
Originally we thought that the use for
carbonless carbon paper was not escaping into the
environment, but over a period of time, we found
out that the causes of PCBs that wound up in the
environment was considerably different than we
originally thought.
We found out that that carbonless carbon
paper, number one, was spread around as carbon
paper.
Number two, it was collected and sent back
to the mills to be made into cardboard boxes.
It
was recycled.
On the second time around, some of the
PCBs were being washed out of that paper and were
honestly going into streams.
So in the carbonless
carbon paper that we originally thought was not
distributing the material into the environment, as
time went on, we found that that was probably one
of the biggest distributors of PCBs into the
environment.
So all of this occurred over a period of
about a year and a half or something, and our
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thoughts were changing during this period of time.
But we were trying to get to the point
that we could determine whether we did have a
problem and would have to discontinue the product,
or we did not have a problem, would have to
discontinue some products but not others.
We were
trying to figure out where all this was going to
take us.
Now, you can't arbitrarily go to a
customer and say, "I'm going to discontinue the
product tomorrow" because he has a system set up to
use the product and he needs it for his business
purposes.
So until you have a good reason to
discontinue a product, ethically, you can't
arbitrarily shut it off.
Also, this is not the first product that
Monsanto ultimately shut down.
We've been through
shutdowns before.
I can think of one specific one,
that I got involved in later, in our rubber
chemicals business at the Nitro plant that turned
out to be carcinogenic to the human being.
When
we found that out, we shut it down quickly.
Once
you decide it's carcinogenic to the human being,
people were in contact through both manufacture and
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use of it, we shut it down very quickly.
Q. What is quickly?
A.
Quickly, in that particular case, where
it can be that harmful to a human being, quickly is
a matter of days or weeks.
When you get your mind
around the fact that this data is real, that's it.
You shut it down, and we shut it down.
So shutting
down products is -- was not a new thing to
Monsanto.
We had had problems before, of some type
or other.
So what we were trying to do here was to
find out what is the problem.
How do you get from
A to B; and, if it is a problem, then we can go to
our customers and say this is the problem.
That's
what we eventually did.
We went to the customers
in the plasticizer group and said, "This is a
problem.
This is a persistent product, one of the
benefits in the first place, but it is a persistent
product that is being distributed into the
environment, and the Monsanto Corporation has
decided to discontinue this product."
You look the
customer in the eye and say that's the business
reason and that's what we're going to have to do.
Q. When Monsanto knew that PCBs were highly
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toxic to some forms of marine and aquatic life, why
didn't Monsanto shut down the PCB business at that
time ? A.
Let me differ with you.
I don't think
PCBs are considered highly toxic.
I think PCBs
are way down the list of compounds in terms of
toxicity.
PCBs are very safe to the individual.
Q. My question was in relation to aquatic
and marine life. MR. CHAMBERS:
I'll object to the form of the
question because it lacks foundation.
I think
that's what Mr. Springgate is pointing out.
THE WITNESS:
My recollection of what happened
was that, when we finally got to the point that PCBs were truly being identified in fish and shrimp
in the waterways, we very quickly thereafter did
s hu t it down.
BY MR. DUFF: Q. Was it within a matter of days or weeks?
A. Yes. Q. And that was the responsible thing to
do; is that right?
MR. CHAMBERS:
Object to the form.
THE WITNESS:
The decision was -- all I can
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say is how it looked to me.
It appeared so to me.
BY MR . DUFF : Q As a business director of the :izer group; is that right?
A . That ' s correct. Q. Directing your attention to the second and third pages of the document that's in front of
you, which is Exhibit 313, do you -- strike that. Did you discuss plant effluent that had
escaped from Monsanto's Pensacola plant into the
Escambia River in 1969? A. I have a vague recollection of testing
the outflow from the Pensacola plant, but I don't remember that in any detail.
Q What do you recall? A . I think I just told you everything I
recall about that. Q. Did state officials visit the Pensacola
plant in 1969?
A . I don't recall. Q Do you recall discussing, at a meeting,
that, following a visit from state officials at the Pensacola plant, there was a feeling that they had
not asked any searching questions?
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MR. CHAMBERS:
Object to the form.
Lacks
foundation.
THE WITNESS:
I don't recall that subject at
all .
BY MR. DUFF: Q. Was there a sense within Monsanto that
the lid had been kept on with respect to the
pollution that escaped from the Pensacola plant in
1969?
MR. CHAMBERS:
Object to the form to the
extent that question calls for speculation.
THE WITNESS:
Well, I can't respond to what
Monsanto thought, whatever Monsanto is, so I can't
comment on that.
I personally have no recollection
of that.
BY MR. DUFF:
Q. What type of Monsanto product was escaping into the Escambia River in 1969?
A. I have no recollection of that.
Q. Do you recall that it was Pydraul AC?
A. I have no recollection of that.
MR. CHAMBERS:
Let me note an objection as
well.
To the extent the questions you are asking
are based on this document, the handwriting on that
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second page with respect to questions does have the
word "satisfied" after it.
For the sake of
completeness, I'm going to note that.
Let's move
forward.
BY MR. DUFF:
Q. Did you discuss with anyone that the
Pensacola plant felt that it could be in for a
lawsuit by shrimp fishermen in the Pensacola Bay
following the escape of Pydraul AC into the
Escambia River from the Pensacola plant?
A. I don't recall that. Q. Do you recall that PCBs that escaped
from Monsanto's Pensacola plant were associated
with the death of shrimp in the Escambia Bay?
A.
I don't recall that.
I have some
recollection of the detection of some PCB in
shrimp, but I don't know where or when.
I don't
rec a 11 that.
Q. Did you ever state, at a meeting relating to PCBs, that your overall impression of
the PCB problem was that researchers and the press
would put Monsanto out of the Aroclor business?
A.
I don't recall ever saying that.
It
doesn't even sound like something I would say.
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Q. Did anyone else ever say that to you? A. Not that I can recall. Q. Did you attend a meeting where the alternatives for the future course of Monsanto's Aroclor business were discussed? A. Yes, I'm sure I have. Q. Let me direct your attention to the fifth page of this document.
Do you see at the top of this page where it says, "Subject is snow balling"?
A. Yes, Ido. Q. And it says, "Where do we go from here."
Do you see that? A. Yes. Q. And there are three alternatives listed on this page.
Do you see those? A. Yes, Ido. Q. And the first alternative is to go out o f busines s ? A. That's what it says, yes. Q. Do you recall adiscussion of that alternative? A. Yes, I do, at a date when we were
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preparing a presentation for our executive
management group.
We prepared several
alternatives.
At that time, I remember discussing
alternatives.
Q. Did you discuss a second option as selling the hell out of PCBs as long as we can and
do nothing else?
A. No, I don't recall that option. Q. Was the option that you ultimately pursued to try and stay in the Aroclor business?
A. The option that we ultimately pursued was to not remain in the Aroclor business for the
plasticizer group.
My recollection is -- I can
only speak for plasticizers.
The functional fluids
group was somewhat different.
In the plasticizer
group, the option we ultimately pursued was to
discontinue the manufacture and sale of
plasticizers.
Q. So you went with alternative number one here, getting out of the business; is that right?
A. In the plasticizer group, we went out of
the business, but I have no way of knowing -- I
don't know who the writer was of this particular
paper.
He shouldn't be very proud of himself.
So
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I don't know where this paper came from or who
generated it, but it doesn't speak for my business,
nor Monsanto as I knew it.
Q. And that was from your perspective as
director of the plasticizer group; is that right?
A. That's correct.
Q. Was the big question at the time, in
August of 1969, what should Monsanto tell its
c u s tome rs ?
A. I would not say that was the big
question.
The big question was what should
Monsanto do about the business.
Are we truly
polluting the environment?
And if the answer to
that is yes, some of the following steps take care
of themselves.
So the question is what should
Monsanto do.
Is it truly an environmental
contaminant, and if so, what should Monsanto do?
Q. Directing your attention to the next
page, do you see the two items listed at the top of
that page ?
This page bears production number
TNGS 009426.
Do you have that page in front of
you?
A. Yes, I see that.
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Q. Do you see the two items listed at the
top of that page?
A. Yes.
Q. One is "Have alternate products. "
Do you see that?
A. Yes. Q. And two is "or help customers clean up
their use."
A. I s ee that. Q. Did you discuss developing alternate
products or helping customers clean up their use
with respect to PCBs?
A. Again, I can only speak from the
plasticizer business.
From the plasticizer
business, once we decided -- once the corporation
decided we were going to discontinue the sale of
Aroclors as plasticizers, we did help customers
find alternate products.
We did that.
Helped
customers clean up their use did not apply to the
plasticizer business unless you had excess material
you needed to return.
Q. Some of the ways that your customers used Aroclors allowed Aroclors to get into the
environment; correct?
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MR. CHAMBERS:
Object to the form.
Lacks
foundation.
THE WITNESS:
Monsanto's ultimate conclusion
was that Aroclors sold into certain markets did,
indeed, wind up in the environment.
BY MR. DUFF: Q. And some of those applications included
use of plasticizers that were Aroclors; correct?
A. That is correct. Q. So some of those customers -- strike
that .
Those customers that used Aroclors in
applications that allowed PCBs in the environment
needed to clean up their use of those products;
correct ?
MR. CHAMBERS:
Object to the form.
THE WITNESS:
I guess I don't understand what
you mean.
We were going to discontinue the
manufacturing and sale of the products as a
plasticizer.
So I don't understand what you mean.
BY MR. DUFF:
Q. Aroclor was used in carbonless copy
paper; correct?
A. That is correct.
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Q. How does one use -- strike that.
How did one use carbonless copy paper
back in 1969?
'
MR. CHAMBERS:
Object to the form to the
extent you're calling for speculation.
BY MR. DUFF:
Q. I'm asking in the context of your
knowledge of your customer's application,
specifically here carbonless copy paper.
A. To the best of my knowledge, carbonless
carbon paper, copy paper, was being manufactured
and sold broadly for thousands of applications.
I'm not an authority on paper farms and so forth.
Q. Was carbonless copy paper used to create
multiple copies of a document by merely pressing a
pen on top of the first page and then the copy
would appear on subsequent attached sheets?
A. That's my understanding, yes. Q. That was an application where carbon
paper was not necessary; correct? A. That is correct.
Q. That's why it was carbonless copy paper;
correct?
A. Correct
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Q. And it was the carbonless copy paper at
this time that contained Aroclor; correct?
A. Yes, or technically, I guess, probably a
thin layer on the back of the paper.
Q. And after somebody used a sheet of
carbonless copy paper, would those sheets typically
be thrown out in the garbage?
MR. CHAMBERS:
Object to the form.
Hypothetical.
THE WITNESS:
My recollection was that most
carbonless carbon paper is actually used by
businesses and offices where they collected excess
paper and recycle paper.
That's what I think
happened.
That's my understanding of what happened
to the carbonless carbon paper.
BY MR. DUFF:
Q. Did you also understand that some of the
carbonless paper went into garbage?
A. I would say I guess that's logical that
that happens; yes.
Q. Was that your understanding at that time
in 1 9 6 9 ?
A.
No.
In 1969, when we started looking
for the sources of PCBs, we didn't originally
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believe that carbonless carbon paper was a method
of distributing PCBs.
It was only after many
months of work that we started to reach the
conclusion that that was one of the distribution
methods of PCBs. Q. Once you realized that, was it then
necessary to clean up that use of carbonless copy
paper ?
A.
We discontinued the sale of the product
to the manufacturer of carbonless carbon paper.
I
might also add we didn't run around the world
trying to burn all the carbon paper that had ever
been made.
We didn't consider that our problem,
our responsibility. Q. So when you discussed helping customers
to clean up their use, it was only with respect to
returning unused fluid; is that right?
A.
Your reference is off of a line off of
this sheet; and, frankly, I don't know what the
author of this sheet had in mind when he wrote that
line.
I don't know what he had in mind.
To the plasticizer group, clean up their
use doesn't make any sense to me.
I don't know
what that means.
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Q. Actually, you used the term "unused
material" earlier, and that's what I was picking up
from.
When you said that, were you referring to
the return of unused Aroclor to Monsanto?
A . Correc t.
Q. So you were not talking about material,
that had been used by customers, that had already
gotten into the environment.
A.
No.
That is correct.
Back to the carbonless carbon paper.
If
National Cash Register had several tons of carbonless carbon paper, we considered that their
problem, not ours.
MR. DUFF:
I'd like to show you a document
which has been previously marked as Plaintiff's
Exhibit 316.
This document is dated October 2,
19 6 9 .
(Previously marked Exhibit 316 was shown to the witness and is annexed
hereto.)
BY MR. DUFF:
Q. This document bears production numbers
TNG S 00 9 4 7 5 through 87.
Please take as much time as you need to
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review this document.
A. Okay.
Q. Does this document reflect the report of
the PCB task force?
A. That's what the document says, even
though I don't recall this specific document.
That's what it says.
Q. This is a document that was sent to you
on October 2, 1969; correct? A. That's what it says, even though I don't
recal1 it.
Q.
Do you recognize any of
thehandwriting
in this document?
A. No, I don't.
Q. Directing your attention to the third
page of the document which has the number 1 at the
top of the page and the title "Objectives," do you
see that?
A. Yes, I do.
Q.
Do these objectives --strike
that.
Are these the objectives that were
recommended to you by the PCB task force?
A. I think they probably do, yes.
Q. Was the PCB task force also known as the
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ad hoc committee?
A.
I don't remember the term "ad hoc
committee."
I remember the PCB task force, but the
people appear to be
the same.
Q. One of the objectives was to protect
continued sales and profits of Aroclors; correct?
MR. CHAMBERS:
Let me object to the form.
The
document states that the objective of the committee
was to recommend action that will, number one,
protect continuedsales
and profits of Aroclors.
BY MR. DUFF:
Q. One of the actions recommended by the
task force was to protect continued sales and
profits of Aroclors; correct?
A. That appears to be -
MR. CHAMBERS:
Well, I'm going to object to
the form of that.
What it says is that the
objective of the committee was to recommend action
that will protect continued sales and profits of
Aroclors, not that the objective of the committee
was to recommend protecting continued sales and
profits of Aroclors as you've suggested.
That's a
misreading of the document, in my view.
BY MR. DUFF:
V#/
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Q. You may answer. A. The paper says, "The objective of the
committee was to recommend actions that will: 1. Protect continued sales and profits of Aroclors; 2. Permit continued development and new uses and
sales, and 3. Protect the image of the Organic
Division and the Corporation as members of the
business community recognizing their
responsibilities to prevent and/or control
contamination of the global ecosystem."
That's what it says. Q. Were those the objectives of the PCB
plan? A.
Sounds generally correct, even though I
don't remember that specifically.
Q. The probability of success of this plan
was discussed -- is discussed on the page that has
the number 2 at the top; correct?
A. Apparently; that's what it says. Q. At this time, was the identification of
PCBs in the environment confirmed?
A. I really don't recall that.
Q. Do you see the handwritten points at the bottom of this page?
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A . Yes. Q. The second one says "toxicity towards
certain species is high."
A. Yes.
Q. Is this person mistaken when he says
that?
MR. CHAMBERS:
Object to the form.
THE WITNESS:
I don't know what species he's
referring to.
When you do toxicity testing --
BY MR. DUFF: Q. Were PCBs highly toxic to some forms of
marine and aquatic life?
MR. CHAMBERS:
Object to the form.
THE WITNESS:
I don't know.
BY MR. DUFF:
Q. Did you know in 1969 that PCBs were
persistent?
A.
Persistent, yes.
That's one of the
benefits of the product in the first place.
Q. Did you also know in October of 1969
that the likelihood of natural origin or
degradation of PCBs was remote?
MR. CHAMBERS:
Would you read that question
back, please ?
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(The pending question was read. )
MR. CHAMBERS:
I object to the form, but you
should respond.
THE WITNESS:
I don't recall that at all.
BY MR. DUFF: Q. The recommendations of the task force to
you and Mr. Bergen are set out on the third and
fourth pages of this document or the pages that
have the numbers 3 and 4 at the top; correct?
A.
I don't remember any of this.
That's
what it says.
I'd like to also point out to you
that this looks like a draft copy of something.
It
doesn't look like the final report.
Q. I'd like to direct your attention to the
last full paragraph on the page that has the
number 6 at the top.
Do you see that?
This is in a text
called "Basis for Recommendations"?
A. I see that that's what it says, yes.
Q. Do you see the discussion in the last
full paragraph of this page of uses of PCBs in the
plasticizer area?
A. Yes, I see that.
Q. Are the uses that are discussed here
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consistent with your recollection of the uses of
Aroclors as plasticizers when you were business
director of the plasticizer group?
A. It would be my recollection that this
was one use of Aroclors.
This is a very small use,
but it is one use of Aroclors.
Q. Used in rubber-based paint or surface
coating?
A. Yes.
Q.
Another
use is referred to in the
next
paragraph as use as highway marking paints; is that
right?
A.
I recall that,
yes.
Q.
Did youknow that Aroclors
werealso
used as caulking compound and sealants?
A.
Yes,
I did.
Q. I'd like to direct yourattention to the bottom of the page that has the number 7 at the
top .
Do you see the last full paragraph on
that page?
It begins "In August, a laboratory..."
A. Yes, I see that.
Q. Does this document refresh your
recollection regarding Pydraul AC that escaped from
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Monsanto's Pensacola plant in 1969?
A.
No, it doesn't.
I don't recall that.
Q. This document indicates that the
Department of the Interior of the Bureau of
Commercial Fisheries in Florida reported that five
parts per billion of the Aroclor 1 2 5 4 killed baby-
shrimp in 18 days; correct?
MR. CHAMBERS:
Let me object to the form and
ask you to read that question back.
(The pending question was read.)
THE WITNESS:
Where are you reading that?
MR. CHAMBERS:
Let me object to the form and
just read that last paragraph, which states, "In
August, a laboratory of the Bureau of Commercial
Fisheries, Department of Interior, at Pensacola
Florida, reported finding..." and so forth.
BY MR. DUFF:
Q. You may answer the question.
A. I don't recall that, no. Q. That's indicated in this document;
correct ?
A. You're correctly reading the document;
but I don't recall any portion of this.
Q. Do you recall efforts to reduce losses
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of Aroclor in Monsanto plants in or about 1969?
A. Yes, I do recall that.
Q. What do you recall?
A. Simply that, just as you stated it.
There was an attempt to be sure that Aroclors were
not escaping from the plant in the water systems
from the plants that manufactured Aroclors.
Q. Directing your attention to the page
that has the number 8 at the top and specifically
the section that's numbered 4, "Losses from
Monsanto Plants. "
Do you see that?
A. Yes. Q. Do you recall that an investigation
showed that the waters in receiving streams below
the Anniston plant contained significant parts per
million concentrations of PCB?
A. I see that it says that, yes.
remember that?
No.
Do I
MR. CHAMBERS:
Wait.
I need to see where we
are .
THE WITNESS:
The first paragraph under 4.
MR. CHAMBERS:
Okay.
Thank you.
BY MR. DUFF:
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. Q. Did you realize, at that time, that more
ominous, perhaps, was the fact that sediment in the
bottom of these streams miles below Monsanto's
plants may have contained up to 2 percent Aroclor?
A.
I don't recall that.
You are correctly
reading from the paper, but I do not recall that.
Q. Directing your attention to the last
paragraph on this page, did you realize, when you
learned about the loss of PCBs from Monsanto's
Pensacola plant, that all Monsanto plants using Aroclors should be made aware of the potential
problem and efforts to eliminate any losses?
A. I don't recall that.
Q. This document indicates that one to three gallons of PCBs were being lost at the
Pensacola plant per day.
Is that right?
A. You are correctly reading the document.
I don't have any recollection of that.
MR. DUFF:
Off the record.
(The luncheon recess was taken
at 12:47 p.m.)
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APPEARANCES OF COUNSEL: (P.M SESSION) KEVIN B. DUFF, ESQ. ROLLY L. CHAMBERS, ESQ.
REPORTED BY: DEIRDRE F. CRAM, C.S.R. 9339
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(The deposition of JAMES E. SPRINGGATE was reconvened at 1:53 p.m.)
JAMES E. SPRINGGATE, having been previously duly sworn, testified further as follows:
MR. DUFF:
Mr. Chambers, I would like to
address an issue with you on the record before we
return to questions for Mr. Springgate.
MR. CHAMBERS:
Okay.
MR. DUFF:
This morning,
Mr. Springgate
indicated that he had given a deposition in the
Transwestern litigation, and I believe that's borne
out by his testimony.
I do not believe that a
transcript from Mr. Springgate was produced by
Monsanto to Tennessee Gas Pipeline, and I would ask
that that be provided.
MR. CHAMBERS: Was one asked for?
MR. DUFF: Yes, one was.
If you look at
Tennessee's first request for production, request
No. 12, you'll see that Tennessee asks for all
deposition transcripts of former or current
Monsanto employees in that case; that case being
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Transwe stern.
MR. CHAMBERS:
Okay.
If that has been the
case, we'll certainly get you a copy.
MR. DUFF:
If at all possible, I would like to
get a copy today so that we can conclude this
deposition tomorrow.
MR. CHAMBERS:
Since it's now five o'clock,
east coast time, I think that's a pretty
unreasonable thing to expect.
We certainly will
get it to you in due course as best we're able, if
it hasn't been given already.
MR. DUFF:
Do you need to take a break to make
a phone call before business closes?
MR. CHAMBERS:
If your expectation is that
that thing can be sent out this evening, I don't
think that's going to be workable, even if we break
now at this point in the day.
MR. DUFF:
I would note that it's only 4:00
p.m. in St. Louis right now.
MR. CHAMBERS:
I'll call, but I'm very
pessimistic that that thing can be provided within
the time frame you're talking about.
MR. DUFF:
Off the record.
(Discussion off the record.)
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EXAMINATION (CONTINUED)
BY MR. DUFF:
Q. Mr. Springgate, I'm handing you a
document that's been previously marked as
Plaintiff's Exhibit 369.
This document has the
printed date with the heading of October 1969 and
has a date in the upper right-hand corner of
November, and the date -- specific date is
unclear.
It bears production numbers TRAN 058372
through 7 3.
Please take as much time as you need to
review this document.
(Previously marked Exhibit 369
was shown to the witness and is annexed
hereto.)
THE WITNESS:
Okay.
BY MR. DUFF: Q. This was a document that you received
from the public relations department at Monsanto in
or about October 1969; correct?
A. It says it's a report from the public
relations department.
I don't remember the report,
but the report does say it's a public relations
report from October 1969.
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Q. And you're indicated as a recipient;
correc t ?
A- Yes, that's the way it appears.
Q- Do you recognize any of the handwriting
on this document?
A.
No, I don't.
Q. In October 1969, a memo was sent to plant managers, communicators and field offices
alerting key Monsanto personnel to the growing PCB
controversy; correct?
A.
That's what it says here.
I don't
remember that, but you're reading of the statement
is correct.
Q. Also in October 1969, an updated
position statement on polychlorinated biphenyls was prepared and copies were provided to the PCB
committee and task force members; correct?
A.
I don't remember that either.
That's
what this particular report says.
Q. Also, in October 1969, the PCB task
force reported -- sorry.
Excuse me.
Also in
October of 1969, the PCB task force report on the
future of Aroclor was completed; correct?
A. That's what this says, but I don't
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recall that.
Q. What was the bird kill in the Irish Sea
that took place in October 1969?
A. I don't recall.
Q. I'd like to go back to the bottom of the
first page of this document.
What was the position statement that was
updatedin October
1969?
A.
I don't recall.
The report says,
"updated position statement on polychloronated
biphenyl was prepared during the month," but I
don't recall that.
MR. DUFF:
I'd like to show you a document
that's been previously marked as Plaintiff's
Exhibit 319.
This document is dated November 10,
1969 and bears production numbers TNGS 009488
through 9 3.
Please take as much time as you need to
review this document.
(Previously marked Exhibit 319
was shown to the witness and is annexed
hereto.)
MR. CHAMBERS:
While the witness is reviewing
that, let me state that my production records
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indicate that the deposition transcript you've
inquired about was in Box 123 at Folder 738.
I
would suggest you have your folks look carefully
for that.
MR. DUFF:
Off the record.
(Discussion off the record.)
BY MR. DUFF: Q. Have you had an opportunity to review
Exhibit 319, Mr. Springgate?
A.
Not quite.
Just a moment.
Okay .
Q. This is a document that you received
from Ed John on or about November 10, 1969;
correct?
A.
I did not recall that.
On the other
hand, that's apparently what the paper says.
Q. This document was transmitted to you along with a statement from Monsanto company dated
October 29, 1969; correct? A. I did not recall that, but that's what
the paper says, yes.
Q. This is the position statement that was
referred to in Exhibit 369, the public relations
report; correct?
INTERIM COURT REPORTING
LEXOLDMON007886
Ill
1
MR. CHAMBERS:
I object to the form.
Calls
2 for speculation.
3
THE WITNESS:
I'm confused.
The question was
4 what ?
5
MR. DUFF:
Would you please read the question
6 back for the witness?
7 (The pending question was read.)
8
MR. CHAMBERS:
Same objection to the form.
9 Calls for the witness to speculate.
10
THE WITNESS:
I don't recall that.
I don't
11
recall this paper.
I don't recall this paper, so I
12
don't see how I can answer that.
I don't recall
# 13 this.
1 4 BY MR. DUFF:
15 Q. The individuals who are listed on the 1 16 left-hand column of Exhibit 319 were all members of
1 7 the PCB task force; correct?
18
% ' 19
A. Yes, I believe that is correct. Q. Were the members -- strike that.
20 Were the individuals -- strike that.
2 1 In the right-hand column, four
2 2 individuals are listed; correct?
23 A. That's correct.
24 Q. And that's Bergen, Springgate, Spano and
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11
12 13 14 15 16 .1 7 18 19 20 21 22 23 24
Dahlstrom; correct?
A. That's correct.
Q. Were those the members of the PCB
committee?
A.
I don't remember
-
MR. CHAMBERS:
Let me object to the form of
that question.
Lacks foundation.
Go ahead.
THE WITNESS:
I don't recall the term "PCB
committee."
I do recall the term of "PCB task
force,"
AS the names of the people on the left.
I
don't recall the use of the term "PCB committee. "
I would believe that the names on the right are the
people responsible for the business of which
Aroclors are a product.
That's true of Bergen.
That's true of Springgate, and Dahlstrom was our
manager in Europe.
I believe I answered previously
that Spano doesn't ring a bell with me.
BY MR. DUFF:
Q. Dahlstrom was manager for what in
Europe ?
A. I think my recollection is that
Dahlstrom was the organic division's representative
for all of its products in Europe.
Q. Directing your attention to the
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attachment to Ed John's November 10, 1969
memorandum, was this a press release issued by
Monsanto in October 1969?
A.
I don't know what this paper was.
I
don't recall this.
Q. Directing your attention to the second
paragraph in this document, this paragraph states,
"Monsanto manufactures po1ych1oronated biphenyl
and markets it under our Aroclor trade name, "
correc t ?
A. That's what it says.
Q. And then the second full sentence,
excluding a parenthetical, says, "We, therefore,
would like to present some additional facts. "
Correc t ?
A. That's what it says, yes. Q. What additional facts did Monsanto want to present?
A. I don't know, since I don't recall this particular memo.
Q. Was it important to deal with the press
in an accurate and truthful manner in 1969?
A. I'm sorry. that again?
What was the first part of
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MR. DUFF:
Would you please read the question
back for the witness?
(The pending question was read.)
MR. CHAMBERS:
Object to the form of the
question.
Argumentative.
THE WITNESS:
From my point of view, from my
position, yes.
That was very important, and I
think my view of Monsanto, then and now, is that it
was always important to deal accurately with the
press. BY MR. DUFF:
'
Q. Is that, in part, because the press is
the medium by which everyday citizens get their in forma tion ?
MR. CHAMBERS:
Object to the form.
THE WITNESS:
It was our position to be
accurate in everything we did, and dealing with the
press accurately was not any different than dealing
with our customers accurately or our suppliers
accurately.
We tried to be as accurate as we
could.
BY MR. DUFF: Q. Directing your attention to the second
page of this statement, do you have that in front
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o f you ?
A . Yes. Q. Do you see the third paragraph on this
page where it says, "The common uses of commercial
PCB would not normally lead to its release into the
natural environment"?
A. Yes,I see that. Q. Was that a position that Monsanto took
in 1969?
A.
As I believe I'vesaid
earlier, our
belief, when people first thought they were finding
PCBs in the environment, was just this, that the
normal uses of PCBs, we did not believe led to
releases in the environment.
Q. By normal -- strike that. By common use, did you mean that, if the
commercial PCB was used as it was intended, then it
would not constitute a potential environmental
contaminant ?
MR. CHAMBERS!
Object to the form of the
question. THE WITNESS:
I believe what we thought is
fairly well stated here, that the common uses of
commercial PCBs would not normally lead to a
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release into the environment.
I believe that's
reasonably well stated.
BY MR. DUFF: Q. By that, did you mean that, if a product
was used as intended, it would not become an
environmental contaminant?
A. To the best of our knowledge, if it was used as intended, it would not be an environmental
contaminant.
That's right.
Q. In the paragraphs following that
statement, the use of PCBs in different
applications is discussed; correct?
A. That is correct.
Q. In the next paragraph, the use of PCBs
as insulating fluids for transformers and
capacitors is discussed; correct?
A. I don't remember this, but the line
says, "A principal market for PCB is in electrical
applications where they are used as insulating
fluids for transformers and capacitors."
Q. And this statement from Monsanto
indicates that that type of use is in a completely
sealed system?
A. The next sentence says, "In this use.
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the chemical is completely sealed in metal
containers." Q. And that is considered to be a closed
system; correct? A. I think the line stands on its own.
Q. In fact, it uses the term "closed system" in the next sentence; correct?
MR. CHAMBERS:
Let me object to the form.
"Another market is for heat-transfer applications where the PCB fluid functions in a closed system."
It doesn't have anything to do with transformers and capacitors.
MR. DUFF:
Fair enough.
MR. CHAMBERS:
Okay.
BY MR. DUFF: Q. There's another application discussed in
the next sentence.
A. The sentence that says, "Another market is for heat-transfer applications where the PCB
fluid functions in a closed system. "
That's what it says.
Again, I don't
recall it.
That's what the sentence says.
Q. At the top of the third page, there is discussion of PCBs which appear as solid material
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in different applications; correct?
A. The line says, "PCBs are also used in
several applications where the chemical is
incorporated into polymer as an integral part of
the solid material."
That's what the line says.
I don't
remember this memo.
Q. And the next paragraph says that PCBs
"are not sprayed or dusted on crops, woodlands or
any other areas, as are pesticides"; correct?
A. That's what the line says, yes. Q. And in the three paragraphs following
the sentence that "The common uses o f commercial PCB would not normally lead to its release into
natural environment, " there i s no reference or discussion -- no reference to or discussion of open
system applications of PCBs, is there?
A. I don't know what you mean by "open
system applications."
PCBs which are incorporated
into polymers are certainly open systems.
They're
not closed.
Adhesives, elastomers, surface
coating .
Q.
Let me ask the question this way.
In
the three paragraphs following that sentence,
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there's no discussion of PCBs in a liquid form used
in systems that are not considered to be closed or
completely sealed; correct?
MR. CHAMBERS:
Object to the form of the
question.
THE WITNESS:
As I said earlier, I don't
recall this memo at all.
If you are saying those
words do not appear in either one of these three
paragraphs, I would have to agree with you.
I
guess those words do not appear in any one of these
three paragraphs, if that's the point.
BY MR. DUFF:
Q. The next paragraph says, "Therefore, conclusions as to the source of PCB found in the
environment are difficult to make"; correct?
A. That's what it says, yes.
Q. When this statement was prepared,
Monsanto -- strike that.
When this statement was prepared, you knew that Pydraul AC had escaped from Monsanto's
Pensacola plant; correct?
A.
No.
I said earlier I didn't recall
that .
Q. When this statement was prepared, you
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knew that PCBs had escaped from Monsanto's Pensacola plant into the Esc ambia Bay; correct?
MR. CHAMBERS:
Object to the form.
THE WITNESS:
I didn't recall that.
BY MR. DUFF: Q. At the time this statement was prepared
by Monsanto, you knew that it was possible to
determine the source of some PCBs found in the
environment; correct?
A.
I don't recall what I thought at this
point in time.
Q. You knew that carbonless copy paper
could get into the environment; correct?
A.
At some point in time we came to the
conclusion that carbonless carbon paper could wind
up in the environment.
That's true.
Q. And you knew that certain paints and
sealants that contained PCBs were in the
~
environment; correct? A. That's a real stretch.
That is like
saying the paint on this wall is in the
environment.
Under those terms, everything is in
the environment.
So it's hard to say the paint on
a stripe on a highway is an environmental
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contaminant.
That's a big stretch, in my opinion.
Q. In the next paragraph, this statement
from Monsanto says, "It has also been implied that
polychloronated biphenyls are 'highly toxic'
chemicals.
This is not true."
Correct?
A. That's what it says. Q. But in fact that statement was itself
not true.
A. No -
MR. CHAMBERS!
Object.
THE WITNESS:
I don't agree with that at all.
To this day, I still believe polychloronated
biphenyls are not highly toxic chemicals.
Toxicity, again, is a range.
BY MR. DUFF: Q. Are you saying that PCBs are not highly
toxic to any species?
MR. CHAMBERS:
Object to the form.
Let me ask
you to read the witness' response back.
(Record read as requested. )
MR. DUFF:
Then read the question back.
(The preceding question was read. )
BY MR. DUFF:
Q. You may answer.
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A. The term "highly toxic" generally means highly toxic to human beings and upper levels of
mammals.
You go from human beings on the upper
extreme to the simplest form of aquatic life in the
lower.
The term "highly toxic" is generally used
to mean compounds that are highly toxic to human
beings or animals.
Q. At the time this statement was prepared,
Monsanto knew that PCBs were highly toxic to certain species of fish and marine or wildlife;
correc t ?
MR. CHAMBERS:
Object to the form of the
question.
There's no foundation for that.
just arguing with Mr. Springgate about it.
You're
THE WITNESS:
I'll just say I do not recall.
The previous statement is yours, not mine.
MR. CHAMBERS:
You can argue as much as you
want, but I don't think that's going to change the
witness' testimony.
BY MR. DUFF: Q. In this same paragraph, there is a
statement that "PCBs are not hazardous when
properly handled and used. "
Do you see that?
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A. I see that, yGS.
Q. Do you agrGG that this statement is true when products containing PCBs are used as intended?
MR. CHAMBERS:
Object.
THE WITNESS:
Yes.
I agree, that statement is
true .
BY MR. DUFF: Q. I'd like to direct your attention to the
fourth page of this document.
Do you see the paragraph that begins "Monsanto has always ..."
A. Yes, I see that.
Q. page .
It's the last full paragraph on the
A. Yes. Q. The first two sentences say, "Monsanto has always cooperated on a regular basis with federal, state and university laboratories in their
analysis of chlorinated hydrocarbon residues.
We
will continue to do so."
Do you see that?
A. Yes. Q. Did you know that other individuals within Monsanto, in this same time frame, were
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hoping to defend Monsanto's Aroclor business by
making the government and universities prove that
PCBs are bio-harmful?
MR. CHAMBERS:
Object to the form of the
question.
Assumes facts not in evidence, lacks
foundation.
THE WITNESS:
And I would only respond, I
don't know what you're talking about.
I have no
recollection of that set of factors.
BY MR. DUFF:
Q. Did you ever discuss PCBs with Bill
Richard?
A. Yes, I'm sure I have. Q. Do you recall any conversations that you
had with Bill Richard?
A. Not any specific conversation, no.
Q. Did you ever discuss defending
Monsanto's Aroclor business with Bill Richard?
A. Not that I recall.
Q. I'd like to direct your attention to the
last sentence in this statement.
Do you see where it says, "It will take
extensive research on a worldwide basis, to confirm
or deny these scientific conclusions."
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Do you see that?
A . I see that. Q. Are you familiar with the work of the
Swedish scientists Soren Jensen and Gunnar Widmark?
A.
The question was am
I acquaintedwith
the work of those gentlemen?
Q A.
Yes . I think the answer is no.
Seeing some
of these documents refreshed my memory on the names of those two people, but I do not know the details
of their work.
I do not recall the details of
their work, and I'm not sure I ever did understand
the details of their work.
Q. In October 1969, did you know that there
had been research prior to that date that indicated that PCBs accumulated in the environment and in the
tissues of certain life forms?
A. Try the question again, please.
MR. DUFF:
Please read the question back for
the witness.
(The pending question was read.)
MR. CHAMBERS:
Object to the form of that
question.
When you say "accumulated," do you mean
present in or are you talking about built up?
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THE WITNESS:
You're also -- Monsanto, at some
point in time, concluded that the material being
found, the residue being found in certain types of
marine life was, indeed, PCB.
You're concluding that that was a
foregone conclusion in October of 1969.
I do not
have a recollection that that was a foregone
conclusion in October of 1969.
I'll go further.
I'll even doubt that that was a conclusion at that
point in t ime .
BY MR. DUFF:
Q- I f that conclusion had been made , then
this last sentence is mis leading; correc t ?
MR . CHAMBERS:
Object to the f o rm .
It's
argumentative.
BY MR. DUFF:
Q You may answer.
A . Try the question again.
MR . DUFF :
Please read the question back for
the witnes s.
Actually the last two questions and
the answer in between there.
(Record read as requested.)
MR . CHAMBERS:
Ob j ect to the form of the
ques tion.
It ' s hypothetical.
I don't understand
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1 what part of the phrase you are asking or
2
suggesting is misleading.
I don't know what your
3 question goes to within that last statement.
4
THE WITNESS:
I would have to ask you to
5 restate the question because I don't understand
6 your question.
7
MR. DUFF:
Mr. Chambers, I'll note for the
8 record that I believe your objection goes beyond
9 what is permitted under the Kentucky Rules of Civil
') 10 Procedure, but I'll ask the question again.
11
MR. CHAMBERS:
And I will note, for the
12 record, I think you need to know what the nature of # 13 my objection is so you can decide whether to do
14 something about it or not.
15 BY MR. DUFF:
' 16
Q. If the initial scientific conclusions
17 that PCBs were turning up in marine life residue
18 were correct, then this last statement was ' 19 misleading; is that right?
20
MR. CHAMBERS:
Object to the form.
That's a
21
misreading of this statement.
It's not clear what
2 2 the phrase "these initial scientific conclusions"
2 3 is even referring to, whether it's the conclusion
,, 2 4 you're talking about or some other one.
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1 If you can respond, you sure should.
*
2
THE WITNESS:
I do not recall this paper at
3
all.
However, I do not find anything about that
4 last sentence that is misleading.
5 BY MR. DUFF:
6 Q. What was the Corporate Development
. 7 Committee within Monsanto in 1969?
8 A. The Corporate Development Committee was
9 an executive committee, if you would, of
: 10 higher-level officers of the corporation who formed
11 a committee to review business plans, budgets and
12
appropriation requests.
In other words, rather
1 13 than having one person, such as a president or a
14 chairman, review all of these things, there was a
15 committee that consisted of the highest level
16 officers of the corporation who -- they used
17 different titles at different times.
18 If that one -- if at that time it was
1 9 called the Corporate Development Committee -- I
2 0 know they used that term at one time -- that's what
21
it would have been.
A committee of the
22 highest-level officers of the company to review the
2 3 various subjects.
24 Q. Was that committee also known at times
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as the Corporate Management Committee?
A.
That would have -- in another -- yes.
I
would s ay yes.
Q. Did you report to anybody on the
Corporate Development Committee?
A. In 1969, the answer would have been no.
I was too far down in the organization to have
reported to somebody who was on the Corporate
Development Committee.
Q. Who did you report to in 1969?
MR. CHAMBERS:
Objection.
That's been asked
and answered, I think.
Tell him one more time.
THE WITNESS:
Ernie Robson.
BY MR. DUFF:
Q. Do you know who Mr. Robson reported to?
MR. CHAMBERS:
Objection.
That's been asked
and answered already.
Tell him again.
THE WITNESS:
I really don't recall.
BY MR. DUFF:
Q. Did you ever attend meetings of the
Corporate Development Committee?
A. Yes, I have.
Q. Was that a frequent occurrence?
A.
Yes.
You may quote me as too frequent.
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1 From the time I was a business director of
2 plasticizers until the time I retired, I reported
3 to that committee or an equivalent committee --
4'
they used different names at different times --
5 probably some number between four and six times per
6 year, times 20 years.
7 Q. From 1969 to 1989?
8 A . Yes, that' s correc t .
9 Q. During the time period that you were
10 business director for plasticizers; , what were your
11 reporting re s po nsibi 1 ities to the Corporate
12 Development Committee?
4 13
A. As business director of plasticizers, I
14 reported to Ernie Robson, who would have been a
15 general manager of plasticizers and general
16
chemicals and something else.
He, in turn, would
17 have reported to a corporate vice president, and
18 that corporate vice president would have been one
19 of the members of theCorporate Development
20
Committee.
21 Does that answer your question?
22
Q.
No.
When you appeared before the
23 Corporate Development Committee, why did you
24 appear -- let me ask it that way.
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Why did you appear before the Corporate
Development Committee when you were business
director for plasticizers?
A.
Okay.
We would appear before the
Corporate Development Committee for appropriation
requests for large capital expenditures.
We would
appear before them with our business plans.
We
usually had a long-range plan requirement of once a
year.
I think, at that time, those were probably
the reasons I was appearing.
Q. Did you also appear before the Corporate
Development Committee to discuss the PCB problem in
1969?
A. I don't recall whether I did or not, to
tell you the truth.
I don't recall.
Q. Do you recall if you appeared before the
Corporate Development Committee at any time to discuss the PCB problem?
A . I don't recall a specific time, but I
would not be surprised if I had.
Q. Do you have any specific recollection of having appeared before the Corporate Development
Commi11ee to discuss PCBs?
A. I don't.
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MR. DUFF:
I would like to show you a document
that has been previously marked as Plaintiff's
Exhibit 140.
(Previously marked Exhibit 140
was shown to the witness and is annexed
hereto.)
BY MR. DUFF: Q. This document is dated 11/10/69 and
bears production numbers STR 021938 through 61.
Please take as much time as you need to
review this document.
A . All right.
Q. Is this a draft of the PCB Environmental
Pollution Abatement Plan that you helped to prepare
in 1969?
A.
I don't know.
I don't recall this
particular document.
And again, since I haven't
said this for a while, this has now been some 26
years ago.
I have been through three completely
different assignments since that time.
So I have
no continuity in this subject at all.
So there are
lots of things about this point in time that I
simply do not recall.
(Interruption.)
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MR. DUFF:
I'd like to show you a document
that has been previously marked as Plaintiff's
Exhibit 135.
You can keep Exhibit 140 handy, as I
will be getting back to it.
This is a document dated November 17,
1969, TRAN 091377 through 79.
Please take as much time as you need to
review this document.
(Previously marked Exhibit 135
was shown to the witness and is annexed
hereto.)
THE WITNESS:
Okay.
BY MR. DUFF:
Q. These are minutes of a November 17, 1969
meeting of the Corporate Development Committee at
which you were present; correct?
A . That. appears to be minutes of such a
meeting, but I don't recall the meeting or being
there.
Q The first page of this document
indie ate s that you were present at that meeting;
correct ?
A. That 's what it says, yes.
Q. And the minutes reflect that you gave a
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1 presentation on a plan of action with respect to / 2 the PCB plan; correct?
3 A. That's the way it appears, yes.
4 Q. You gave that presentation with Howard
5 Bergen; correct?
6 A. Apparently -- yes, that's what it says.
7 Q. Do you recall that meeting?
8 A . No, I don't.
9 Q. Do you recall ever giving any
; 10 presentation to the Corporate Development Committee
1 1 with Howard Bergen, related to PCBs?
12 S 13
A . No, I don't. Q. At this meeting -- strike that.
14 Who is D.W. Miller?
15 * 16
A.
I don't know.
I don't recall.
Q. At this meeting, Mr. Miller discussed
17 legal aspects of the PCB problem before the
18 Corporate Development Committee; correct?
19 A. That's what this paper says, although I
20 don't remember it.
2 1 Q. One of the things that Mr. Miller
22 informed the Corporate Development Committee of was
2 3 that, "...if a manufacturer knows or should know
24 that a product of its manufacture may cause damage
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if not properly used, he has a duty to give
adequate warning to customers and users"; correct?
A. I believe that's what it says.
MR. CHAMBERS:
Let me object to the form.
What it says is, "Although the law is unsettled,
the present general rule is that if a manufacturer
knows or should know that a product of its
manufacture may cause damage if not properly used,
he has a duty to give adequate warning to customers
and users."
BY MR. DUFF:
Q. Did you finish your answer?
A. My answer was I do not remember this
meeting.
In regard to what the paper says, it's
specifically as Mr. Chambers just read it.
Q. Mr. Miller also made a recommendation
from the legal standpoint; correct?
MR. CHAMBERS:
Object to the form.
Lacks
foundation.
He's already testified he doesn't
remember anything about this meeting.
THE WITNESS:
I don't remember anything about
this meeting at all.
BY MR. DUFF:
Q. Mr. Miller's recommendations are set out
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in this document; correct?
MR. CHAMBERS:
Object to the form.
There's no
foundation for that.
THE WITNESS:
There are some words here,
"Recommendations from the legal standpoint consist
of."
Q. And then there are three points below
that; correct?
A. There are three points below that,
right.
"Take steps to ensure that PCB's are
contained and not discharged in plant effluent. "
"Provide adequate warnings to customers
and users, including advice as to disposal
methods."
"Establish testing program to determine
precise effects of PCB's on birds, aquatic life and
animals and to determine the possible escape of
PCB's from
None of which do I recall or remember.
I'm simply reading the lines out of this document.
Q. Was it important to warn customers -
strike that.
Was it important to give customers
advice as to disposal of unused PCB-containing
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fluids?
MR. CHAMBERS:
Object to the form of the
question.
Important to who?
It's vague.
THE WITNESS:
After a later point in time,
when plasticizers had decided to or had -- the
decision had been made that we were going to
discontinue the marketing of these products to
plasticizer customers, we had some customers who
had leftover materials, so we told the customers we
would take the materials back and properly dispose
of the materials.
Does that answer your question?
BY MR. DUFF:
Q. Did you give customers advice regarding
disposal of contaminated soil?
A. I don't recall that.
Q. Did you give customers advice regarding
disposal of contaminated equipment?
A. I don't recall that either.
Q. Did you give customers advice regarding
cleaning of contaminated equipment?
A. I don't recall that either.
Q. At this November 17, 1969 meeting of the
Corporate Development Committee, you presented to
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1 the committee a recommended plan of action with
/ 2 respect to the PCB problem; correct?
3 A. That's what this memo says, although I
4 don't remember it, any of this.
5 Q. Returning to Exhibit 140, and
6 specifically the fifth page of that document, which
, 7 has the number 3 at the top of the page.
8
Do you see that page?
The page has
9 Roman numerals II, III and IV.
> 10
A. Yes.
11 Q. This document indicates that the problem
12 with respect to PCBs was damage to the ecological $ 13 system by contamination; correct?
14 A. That's what it says; correct.
15 Q. And the nature of that problem is
16 discussed under Roman IV; correct?
17 A. That's what the paper says, yes.
18
K
Q. The environmental aspects of the PCB
19 problem were discussed at the November 17, 1969
20 meeting by Elmer Wheeler; correct?
2 1 I'll direct your attention to the second
22 page of Exhibit 135 for that point.
23
MR. CHAMBERS:
Object to the form of the
24
question.
Lacks foundation.
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THE WITNESS:
Since I don't recall this, what
you are insinuating is that this rough draft of
November 10th, 1969 is what was presented to the
Corporate Development Committee on November 17th,
1969.
It may be; it may not be.
I don't know.
BY MR. DUFF:
Q. Directing your attention to Exhibit 135,
the minutes of the Corporate Development Committee
on November 17, 1969 indicate that Elmer Wheeler
discussed environmental aspects of the PCB problem
at that meeting; correct?
. A.
I don't remember it, but I don't have
any problem with that being accurately written.
No, I don't have any problem.
Q. So the record is clear, that's what this
document indicates; correct?
A. That's what that document indicates;
that's correct.
Q. Returning then to Exhibit 140,
specifically the page with the number 3 at the
top --
A. Uh-huh.
Q. Elmer Wheeler's initials appear on the
left-hand margin of this page; correct?
INTERIM COURT REPORTING
LEXOLDMON007915
140
1 2 3 4 5 6 7 8 9
10
11 12 13 14 15 16 17 18 19
20
21
22
23 24
A. The initials EW appear on the left-hand
side of this page.
That's true.
Q. Next to Roman II where it says
"Problem," it says "EPW, 5 minutes"; correct?
A. That's apparently what it says, yes.
I'd ask you, who is EPW?
Q. I would say it's Elmer Wheeler.
MR. CHAMBERS:
Do you swear?
THE WITNESS: BY MR. DUFF:
As well as EW?
Q. Do you know of an EPW, other than Elmer
Wheeler, at Monsanto at this time in 1969?
A. If I ran through the phone book, I would
probably find one, but I don't know.
I'd start
off, I don't remember any of this, so my question
for you really is how did you get from this
document to this document?
Or vice versa.
MR. CHAMBERS:
Well, he hasn't gotten there
yet.
That's been the nature of my objections.
I
don't think he can get there, but we're proceeding
along, regardless.
THE WITNESS:
Okay.
BY MR. DUFF:
Q. Exhibit 140 indicates, under Roman
INTERIM COURT REPORTING
LEXOLDMON007916
14 1
1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 . 18 19 20 21 22 23 24
numeral IV, which is entitled "Nature of the
Problem," that, "Professors Widmark and Jensen of
the Institute of Analytical Chemistry at Stockholm,
Sweden in November 1966, announced and confirmed
findings of PCB in fish, birds, and eggs";
correct?
A. That's what it says.
Q. I'd like to direct your attention back
to Exhibit 319, and specifically the last page of
that exhibit.
If the initial finding on the last
page of Plaintiff's Exhibit 319 relates to Jensen
and Widmark's work, then the statement on that page
is inconsistent with this statement about Widmark
and Jensen announcing and confirming their finding
of fish, bird and eggs in Exhibit 140; correct?
MR. CHAMBERS:
I'll object to the continued
misreading and mishandling of these documents.
Things are being taken out of context.
You're
trying to compare apples and oranges, and it
does n't work.
To the extent you're able to respond to
that, you're welcome to do so.
THE WITNESS:
I don't recall the details of
their work; probably never did know the details of
INTERIM COURT REPORTING
LEXOLDMON007917
14 2
1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24
their work.
I don't recall the timing involved.
The problem that you're in, that I don't
agree with, is that you assume that, at a much
earlier date, the world concedes that these people
had found PCBs.
The situation was they found something
that even they didn't know what it was, and we spent most of the year, in the case of Risebrough,
and longer, in the case of these people from
Sweden, trying to identify what it was.
BY MR. DUFF:
Q. Who was Emmett Kelly?
A. He was the head medical doctor at
Monsanto.
Q. Would you defer to Dr. Kelly with
respect to understanding the implications of Jensen
and Widmark's work in the 1960s?
MR. CHAMBERS:
I object to the form of that
question.
Hypothetical.
You've left out material
information that would be required to answer that.
THE WITNESS:
I would defer to Dr. Kelly on
medical questions, not on analytical procedures.
BY MR. DUFF:
Q. Would you defer to Dr. Kelly with
INTERIM COURT REPORTING
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143
1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24
respect to medical questions that involve questions
of toxicity?
A. I would think so, yes.
Q. The last sentence on the page that has
the number 3 at the top in Exhibit 140 states,
"Monsanto confirmed the presence of PCB ' s in
mid-1969 and confirmed the adequacy of work by
Widmark and Jensen and others; truly, the PCB's are
a worldwide ecological problem."
Correct?
A.
That's what it says.
Again, may I say,
the date of this is like November 1969.
Q. Have you ever considered any scientific
research that related to products produced by
Monsanto to be adequate before it was independently
confirmed by Monsanto?
MR. CHAMBERS:
Object to the hypothetical
nature of that.
MR. DUFF:
It's not a hypothetical.
MR. CHAMBERS:
Then I object that there is a
lack of foundation.
You're assuming facts not in
evidenc e.
MR. DUFF:
Would you please read the question
back for the witness?
(The pending question was read.)
INTERIM COURT REPORTING
LEXOLDMON007919
14 4
1
THE WITNESS:
I have no background or
2 experience that would let me answer that question
3 one way or the other.
4 BY MR. DUFF:
5 Q. You're a scientist; correct, sir?
6
MR. CHAMBERS:
Object to the form.
7
THE WITNESS:
No, sir.
I'm an engineer.
I
8 have no experience that would let me answer the
9
question you just asked.
You sound like it's a
f 10 question between outside research and inside
11
research.
I have no experience to be able to
12 answer that question. f 13 BY MR. DUFF:
14 Q. You have a B.S. in chemical engineering?
15 ' 16
A. Yes. Q. And you also have a master's in chemical
17 engineering; correct?
18 A. Uh-huh.
19 Q. During your career, did you keep abreast
2 0 of developments in trade publications relating to
2 1 chemical engineering?
2 2 A. Yes, I did.
23
Q.
Did some of thearticles
thatyou read
2 4 throughout your career relate todevelopments in
INTERIM COURT REPORTING
LEXOLDMON007920
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1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24
chemical engineering which, themselves, related to
products that Monsanto was producing?
A . No .
Q. You never read an article in a trade
publication that related to a chemical engineering
issue that, itself, related to products that
Monsanto was producing?
A . No .
Q. I'd like to direct your attention to the
next page in Exhibit 140 which has the number 4 at
the top of the page.
Do you see that?
A.
I have a page --
yes.
Q. Halfway down this page, there is a
discussion of the seriousness of the PCB problem;
correct ?
A. That's whatit says, yes.
Q. And it spells out the seriousness of
that problem by listing four points; correct?
MR. CHAMBERS:
Let me object to the form
again.
I think you said seriousness of the PCB
problem.
The document reads "The seriousness of
the problem."
BY MR. DUFF:
INTERIM COURT REPORTING
LEXOLDMON007921
14 6
1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24
Q. You may answer. A. I don't remember any portion of this
report,' but there is an item on it that says,
"Fish - Marine or aquatic species concentrate PCB
in the fatty tissue.
Toxic in small
quantities..."
I don't know what that means,
"...down to 5 parts per billion to sensitive
marine life such as shrimp."
Q. Does that mean that PCBs are toxic to
shrimp?
MR. CHAMBERS!
Object to the form of the
question.
Calls for speculation.
THE WITNESS:
I don't know what that means.
I
don't recall this.
BY MR. DUFF: Q. Do you recall that PCBs were considered,
in November of 1969, to be toxic to shrimp in as
small a quantities as 5 parts per billion?
A.
No, I did not remember that.
I
remembered PCBs were detected in shrimp, but I
don't remember the toxicity subject or the data.
Q. The second point under this area relates
to birds; correct?
A.
Right.
What it says is "Birds -
INTERIM COURT REPORTING
LEXOLDMON007922
14 7
1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24
Predatory species feeding on the marine or aquatic
life can further concentrate PCB to possible
harmful effects.
Specifically in birds PCB can
affect the calcium metabolism leading to eggshell
imperfections which prevents proper hatch of the
young.
In fact, Monsanto has confirmed the
eggshell by feeding chickens, a high order of the
species, PCB's in controlled tests."
Q. And this relates to an area that you had
alluded to earlier today, correct, in terms of the
effect of PCBs on eggshells of peregrine falcons?
A. One of the first indications of a
problem in the environment was the eggshell of the
peregrine falcon; that's correct.
Q. Was that a problem with thinning of
eggshells?
A. Yes, it was.
Q. When you refer to the first sentence, "Predatory species feeding on the marine or
aquatic life can further concentrate PCB to
possible harmful effects," is that otherwise known
as bioaccumulation?
A. I don't know because I don't know what
that term means.
'
INTERIM COURT REPORTING
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1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24
Q. Are you familiar with the term "biomagnification"?
A. I've heard the term, but I'm afraid I'm not acquainted with the meaning.
Q. Do you understand the term "biomagnification" to be consistent with the first sentence in this section?
A. No, since I just said I don't knowwhat "biomagnification" means. That was not a term that I used in my working career
Q. I'd like to direct your attention to the page that. has the number 5 at the top , which is a t STR 021946 and has Roman numeral V, " Effect on Monsanto" at the top.
Do you see that? A . Yes. Q This section sets out the "Business potential at stake for Monsanto on a wor1dwid e basis"; c orrect? A . That's what it says, yes. Q- Is it consistent with your understanding that the potential business that Monsanto had at s take in its Aroclor business in 196 9 was $22 million per year?
INTERIM COURT REPORTING
LEXOLDMON007924
14 9
1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24
A.
That's what it says.
It says
$22 million per year sales volume.
Q. And is that consistent with your
understanding of what the sales volume was at that
t ime ?
A.
Yes.
I would guess that.
As a matter
of fact, my recollection, my guess would have been
that it was bigger than that.
I didn't realize it
was that smal1.
Q. Under the section noted as "Effect on
Monsanto," there's also a section on "Legal
Liability"; correct?
A.
Yes.
That's what it says.
Q. And this section states that "Direct
lawsuits are possible."
Correct?
A . That ' s what it says.
Q And it also states that, "The mater i a 1 s are already present in nature having done their
'alleged damage'"; correct?
A. That's what it says.
Q. If that was true, then cleanup of the
materials that had done the alleged damage was
crucial; correct?
MR. CHAMBERS:
Object to the form.
What do
INTERIM COURT REPORTING
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150
1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24
you mean by "crucial"?
It's vague and confusing.
THE WITNESS.-
I think that's not correct.
I
think we're talking about three different things.
There was a problem with the PCBs in the waterways
of the United States and even in the Gulf Coast
with the shrimp.
So that's existing PCBs.
Now,
that's already present in nature; that's there.
Secondly, there were PCBs that were in
use, such as in capacitors and transformers of the
electrical system of the United States.
They
exist; they are there.
Then the third part of it is we were
still in the business, still manufacturing and
still shipping.
Now, we're feeding into a system
of PCBs in use, which in turn is probably feeding
into the environmental contamination problem.
So, as I would read this, what's already
at the bottom of a river is there.
That's alleged
damage.
But what exists in tanks and transformers
is not in nature, and it could be recovered.
BY MR. DUFF:
Q. It was the materials that were in nature
at this time that had done damage to the
environment; correct?
INTERIM COURT REPORTING
LEXOLDMON007926
15 1
1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24
MR. CHAMBERS:
Object to the form of that
question.
Assumes facts not in evidence and lacks
foundation.
THE WITNESS:
You could argue all day about
how much damage had been done to nature.
MR. CHAMBERS:
If any.
THE WITNESS:
If any.
But at this point in
time, I believe Monsanto was agreeing that there
was, somewhere in the waterways and systems, some PCBs that were being picked up by aquatic life.
BY MR. DUFF:
Q. As of November 10, 1969, all of Monsanto's customers using PCB-containing products
had not been officially notified about known
effects, nor did Monsanto's product labels carry
that information; is that right?
MR. CHAMBERS:
Object to the form.
What do
you mean by "officially notified"?
THE WITNESS:
And I can't answer that.
I
don't know.
BY MR. DUFF:
Q. That's what this document indicates;
correct ?
A. Where did you find that?
INTERIM COURT REPORTING
LEXOLDMON007927
152
1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24
Q - Under the legal
sect ion.
A . It says, "All customers using these
products have not been officially notified about
known effects nor do our labels carry this
information."
That's what it says.
I don't
remember it, but that's what it says.
Q. When you notified your
customers, did you tell them how to clean up PCB
contamination?
MR. CHAMBERS:
Object to the form of the
question.
THE WITNESS:
That's not a very practical
situation.
Our largest
customer was
National Cash Register, who had made carbonless
carbon paper.
We told them that this was becoming
an environmental problem, and they were the
distributor, and that we were going to discontinue
the manufacture of the product, and National Cash
Register, you have a problem.
You have been
distributing PCBs, and you may want to stop, and
you'd better be concerned about your
responsibility.
National Cash Register, your
res pons
.
INTERIM COURT REPORTING
LEXOLDMON007928
153
1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24
BY MR. DUFF:
Q. So did you leave it to your customers to
determine how to clean up PCB contamination caused
by PCBs that Monsanto had supplied to them?
A. And the customer had used, yes. Q. Did you supply your customers with all
information relating to PCBs that was available to
you ?
MR. CHAMBERS:
Object to the form.
THE WITNESS:
You have a practical problem
again.
There's no point in supplying more
information than the customer can handle or can
use.
So, again, at the point in time when we
decided that we were going to have to discontinue
this business, we had a program to notify the
customers of what the problem was, how we got -
what we thought about -- how we got to where we are, and the fact that we were going to discontinue
the product.
Now, up until that point in time, I'd
say we had more or less conversation with different
customers, depending on whether the customer came
back and asked questions, because all of this had
INTERIM COURT REPORTING
LEXOLDMON007929
154
1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24
appeared in the public press.
Not to have heard
about PCBs and the contamination, you would have
had to have not read the trade journals and not
read the newspapers, because this appeared.
Some
people asked more questions than others, and
therefore we had more communication with some
companies than others.
MR. DUFF:
Move to strike the nonresponsive
parts of the last answer.
MR. CHAMBERS:
What parts do you consider
nonresponsive?
That might help clarify things for
eve ry bo dy .
MR. DUFF:
Would you please read the answer
back?
(Record read as requested.)
MR. DUFF:
I move to strike the portion of the
sentence with the language "depending on whether
the customer came back and asked questions. "
I
move to strike from that point to the end of that
sentence as nonresponsive.
Q. Sir, do you see, also, on the same page,
where there is the letter B with the title "Public
Image"?
A. Yes, I see that.
INTERIM COURT REPORTING
LEXOLDMON007930
15 5
1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24
Q. This document states that -- I'm
referring here to the second sentence under that
section, "The evidence proving the persistence of
these compounds and their universal presence as
residues in the environment is beyond
questioning."
Do you see that?
A. Yes, I see that.
Q. Was that statement incorrect when it was
made in November of 1969?
A. I have no reason to question the
statement.
I don't recall this package, and I
don't recall the factors at this specific point in
time.
Q.
The next section is
letter C, "Customer
Relations."
Do you see that?
A. Yes.
Q. The first sentence indicates that, "Some
customers who presently use these materials will be
'scared off' to other competitive products";
correct ?
A. That's what it says.
Q.
Was that one of your concerns
in
INTERIM COURT REPORTING
LEXOLDMON007931
156
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November 1969?
A. Not that I recall.
Q. You weren't concerned that, when
customers learned that PCBswere environmental
contaminants, they wouldswitch to
competitive
produc t s ?
A.
That was not a major item.
It was not a
large share of our total product line, and I don't
remember that being a major problem with this.
Q. Directing your attention to the next
page, which has the number 6 at the top , do you
that ?
A . Yes.
Q. Do you see the section which is Roman
numeral VII, "Involvement With Other Producers"?
A . Yes.
Q. Do you see the language in the first
sentenc e of that page where it indicates that
"Monsanto is most probably responsible for the
U.S. contamination"?
A . I can read that, yes; that's correct.
Q.
made?
Was that statement incorrect when it '
MR . CHAMBERS:
Object to the form.
INTERIM COURT REPORTING
LEXOLDMON007932
15 7
1
THE WITNESS:
I think the debatable question
"2 would be what does the word "responsible" mean.
3 I'm sure that I don't have to pursue that with
4
you.
Other people will do that.
5 BY MR. DUFF:
6
Q.
You'll leave that to the lawyers.
Is
, 7 that what you're saying?
8 A. Correct; that's right.
9 Q. But that sentence does make that
i 10 statement; correct?
11 A. It is written the way you read it.
12 Q. I'd like to direct your attention to the $ 13 next page, which has Roman numeral VIII, "Sources
14 of Contamination."
15 ? 16
Do you see that? A. Yes.
1 7 Q. There is a section with the letter A,
18 titled "Open Pollution," correct?
s 19
A. Correct.
20 Q. And there are four items, fluids,
2 1 electrical, heat transfer and industrial; correct?
2 2 A. Correct.
2 3 Q. Fluids are indicated as "probably the
2 4 most open source of pollution because of their
INTERIM COURT REPORTING
LEXOLDMON007933
mobility";
A . That's what it says, yes.
Q- Was that consistent with your
understanding in November 1969?
A. I don't have a recollection of what my
understanding was at that time.
Q- Industrial is No. 4 here; correct?
A. That ' s correct.
Q. What are industrial PCB products?
A . I'm going to beg off of this entire
area.
This was not the plasticizer business which
I was responsible for.
This is the other half of
the business.
I had no responsibility here.
I had
very little knowledge of their products and how
they were used, so I am not informed here.
I never
was, but I'm certainly not now.
Q. Did you know, in November 1969, that
industrial fluids containing PCBs were generally
sprayed down into drains, washed into sewers and
generally regarded as harmless?
A. I did not know that, even at that time,
if that ' s true .
Q. I'd like to direct your attention to the
last two pages of this document.
INTERIM COURT REPORTING
LEXOLDMON007934
15 9
1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21
22
23 24
Do you see those?
There are two pages
of graphs indicating profit and liability versus
t ime .
Do you see those?
A. Okay.
Q. Have you seen these graphs before?
A. Not that I recall.
Q. Do you recognize this handwriting?
A. No, I don't.
Q. Did you discuss, with anyone at Monsanto
in 1969, what the effect of different alternatives
for dealing with the PCB pollution problem would
be ?
MR. CHAMBERS!
Object to the form of the
question.
It's vague.
Confusing.
THE WITNESS:
I don't remember specifically
doing that.
MR. DUFF:
Off the record.
(There was a brief recess.)
MR. DUFF:
Mr. Springgate, I'd like to show
you a document that's been previously marked as
Plaintiff's Exhibit 136.
(Previously marked Exhibit 136
was shown to the witness and is annexed
INTERIM COURT REPORTING
LEXOLDMON007935
160
1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24
hereto.)
BY MR. DUFF:
Q. This document has the date
November 17, 1969 at the top, and bears production
numbers TRAN 024713 through 37. Please take as much time as you need to
review this document.
A. Okay. Q. Is this a copy of the PCB presentation
that you made to the Corporate Development
Committee on November 17, 1969? A. It apparently is, but I don't remember
that particular presentation. Q. Your name is written at the top of the
first page of this document; correct?
A. That is correct. Q. As you sit here today, do you recall
that you were one of the individuals primarily
responsible for formulating Monsanto's overall PCB
plan to manage the PCB pollution problem?
A. I would say yes, I was. Q. I'd like to direct your attention to the
page that has production number TRAN 024724.
It
has the heading "Sources of Fluids Pollution" at
INTERIM COURT REPORTING
LEXOLDMON007936
16 1
1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24
the top.
A. Uh-huh.
Q. Do you see that?
A. Yes.
Q. This page indicates the sources of
fluids pollution from greatest to least by
application? correct?
A. That's what it says.
Q. And it indicates that the greatest
source of -- strike that.
It indicates that the application with
the greatest source of fluids pollution is
industrial fluids? correct?
A.
That's what the wording says.
I don't
recall this specific presentation, and furthermore,
we're now talking about the fluids group where I
had no responsibility and very little know-how.
Q. This was the presentation that was given
to the Corporate Management Committee on November
17, 1969; correct?
A. That is correct.
Q. And, on this page, it also indicates
that industrial fluids have the greatest intensity
of pollution because they are a direct pollutant to
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the environment; correct?
A.
I can only read the words.
I don't
remember the presentation; and, again, I had no
responsibility for the fluids group.
So I would
not have put this page together or even reviewed
it.
This is the other half of the business.
Q. That was part of the presentation that
was made to the Corporate Management Committee on
November 17, 1969; correct?
A.
Apparently.
I have no reason to doubt
that .
Q. Directing your attention to the page
that has the number 16 at the top and bears
production number TRAN 024727, do you see that
page ?
A. Yes.
Q. There is the handwriting at the bottom
that says "Turn over to Jim Springgate"; right?
A. Correct.
Q.
Is it your understanding that
the
program or floor was turned over to you at this
point?
A. That would be a reasonableassumption,
yes.
Even though I don't remember that, that's a
INTERIM COURT REPORTING
LEXOLDMON007938
1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24
reasonable assumption. Q. This was the end of the discussion of
the fluids business; correct? A. Apparently, yes. Q. And the following pages indicate a
discussion of plasticizers; A. That appears to be Q. That was the area that you were business
director for; right? A. That is correct. Q. If you would -- I direct your attention
to the page that has TRAN 024729 at the bottom. A. Okay. Q. This page has distinctions from
functional fluids on it; correct? A. That's correct. Q. And this section lacks the type of
narrative that appears in the earlier pages discussing fluids; correct?
A. Correc t. Q. At this point in the presentation, you told the Corporate Development Committee how the plasticizer group was different from the functional fluids group; correct?
INTERIM COURT REPORTING
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MR. CHAMBERS:
Object to the form.
Lacks
foundation.
THE WITNESS:
Apparently that's what it says,
although, again, I don't remember this.
BY MR. DUFF:
'
Q. One of the points that you made was that
50 percent of domestic Aroclor 1254 and 1260 sales
were through distributors; correct?
MR. CHAMBERS:
Object to the form.
Lacks
foundation.
THE WITNESS:
That's what it says, but I don't
happen to remember that.
BY MR. DUFF:
Q. Were 50 percent of your domestic
plasticizer sales in 1969 of Aroclors 1254 and 1260
through distributors?
A. I think, what the line says, 50 percent
of the domestic A-1254 and Aroclor 1260 sales were
through the distributors, difficult to police.
That's what the line says.
I don't happen to
remember that.
Q. Do you remember any of your distributors
of Aroclor 1254 or Aroclor 1260?
A. No, I don't.
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Q. Why was it difficult to police sales of
Aroclors through distributors? A. I don't recall what the thought was
there. Q.
I'd like to direct your attention to the
page that has TRAN 024733 at the bottom.
Do you see that? A. Yes, I do. Q. This page has "Recommended Action Plan" at the top; correct?
A . Correc t. Q. And this page, together with the
following page, has twelve points; correct? A. Yes, that appears to be a correct -- Q. This was a joint action plan developed
by the functional fluids and plasticizer business
groups and the medical and law departments;
A. That's what it says, yes. Q. One of the parts of this plan was to notify all Aroclor customers of the PCB problem; correct ? A. That's what it says, yes. Q. And that was to happen within 60 days;
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1 correc t ?
) 2
A. That's what it says.
3 Q. Which would be by the middle of January,
4 1970; correct?
5 A. Well, 60 days from November 17th, 1969.
6 Q. And another point was to relabel
,
7
containers; correct?
Under point No. 2?
8
A.
Correct.
That's what it says, relabel
9 containers within 60 days.
! 10
Q. How were the containers to be relabeled?
11 A. I don't recall that.
12 Q. Do you know what type of label Aroclor
13 containers had on them prior to this date?
14 A. I do not recall that, no.
15 Q. Directing your attention to the fifth
16 point on this recommended action plan, do you see
1 7 that?
18 A. Yes, Ido.
19 Q. That says, "Educate customers for need
20 for a clean-up at their plants - within 4 months";
2 1 is that correct?
22 A. That's correct.
23 Q. Did you do that?
24 A. I don't recall that specifically, but
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20
21 22 23 24
anything we told the CDC we were going to do, we
did .
Q. Did you educate customers on the need
for cleanup at their plants?
A. Again, I don't recall specifically.
Again, I would say, if we said we were going to do
it, we did it.
This is our top management.
Q. Why did you recommend this point?
A. I don't recall that.
Q. Directing your attention to the page
with the number TRAN 024735 at the bottom, do you
see that page?
A. Yes, Ido. Q. This page says "What Could We Expect
From This Program" at the top; correct?
A. That's correct.
Q. And this page contains estimates
regarding retaining or converting a good portion of
Monsanto's business and profits; correct?
A. That's what it says, yes.
Q. That was based on whether or not the PCB
problem could be confined to Aroclor 1254 and 1260
as opposed to spreading into the 1 ower-ch1 orinated
Aroclors; correct?
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A.
Apparently.
That would be the
impression I have from reading this, although I
don't remember that.
Q. Point 3 on this page is "Clean up the
major contributing PCB pollution factors"; correct?
A. That's what it says.
Q. What were the major contributing PCB
pollution factors at this time?
A. I don't recall what the thought was
behind that line.
Q. The next page of this document indicates
what the proposed PCB management plan would result
in; correct?
A. Apparently, yes, in terms of costs and
publicity and customer discontent.
Q. One of the things that Monsanto
recognized in this document, arising out of the
plan that was proposed to the Corporate Development
Committee on November 17, 1969, was that there
would be possible lawsuits; correct?
A. The line says, the program would, among
other things, "Expose us to continued adverse
publicity and possible lawsuits."
That's what it
says, even though I don't recall that.
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Q. You don't recall what type of lawsuits
it would expose Monsanto to?
A. No, I don't.
Q. The summary of this PCB presentation to
the Corporate Development Committee is stated on
the last page of this document; correct?
A. Yes, it appears to be.
Q. One of the statements that's made in the
summary is that the PCB pollution problem is a worldwide ecological problem; correct?
A. That's what it says, yes.
Q. You knew the PCB pollution problem to be
a worldwide ecological problem as of November 17,
1969; correct?
A. I don't recall what the thought was
behind that line.
I assume that's what we thought
or we wouldn't have written that line.
I don't
recall.
Q. Mr. Springgate, this document has been
previously marked as Plaintiff's Exhibit 370.
It
has the printed date December 1969 at the top of
the page with the heading and bears production
numbers TRAN 058368 through 69.
Please take as much time as you need to
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review this document.
(Previously marked Exhibit 370
was shown to the witness and is annexed
hereto.)
THE WITNESS:
Okay.
I've reviewed that.
BY MR. DUFF: Q. This is a public relations report that
you received on or about December of 1969; correct?
A. That's apparently correct, although I
don't remember the document.
Q. Your name is indicated on the first page
as a recipient; correct?
A. That is correct.
Q. This document was prepared by Ed John;
correct?
MR. CHAMBERS:
Object to the form.
Lacks
f oundation.
THE WITNESS:
Apparently it was.
BY MR. DUFF:
Q. His name, in fact, appears at the bottom
of the second page of this document; correct?
A. Yes, it does .
Q. What happened on the English coast in or
about December 1969 relating to an unusual increase
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in the number of seal deaths?
A. I do not recall.
Q. Do you recall that incident?
A. No, I don't.
Q. Directing your attention to the second
page of this document, and particularly the first
paragraph on the second page, do you see that?
A. Yes .
Q. Does this refer to the Santicizer plant
that you oversaw the construction of in Texas City?
A . Yes, it does.
Q. Did you hold a press conference in New
York City in or about December of 1969 related to
that facility?
A. It says we did, but I don't happen to
remember that either.
Q. Do you see the two lawsuits that are
referred to in the next paragraph?
A.
Yes, I see that.
It says, "Working with
the legal department, one preparedness s tatement
and a news release were drafted during the month in
connection with two lawsuits underway.
The news
release will be issued to news media simultaneously
with a filing of a lawsuit in January. "
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Q. Do you recall those lawsuits?
A. No, I don't recall.
Q. Who was Bill Papageorge?
A. Bill Papageorge was the plant manager of
the Anniston, Alabama plant. He was brought in to
the headquarters to help with a PCB task force,
since his background is in manufacturing of
Aroclors at Anniston, and he joined the group task
force, if you will.
I think in that last
presentation to the CDC, we said we were going to
form a larger project group to handle the PCB
contamination problems, and he joined that group at
that time.
Q. Did you bring Bill Papageorge in to
oversee Monsanto's management of the PCB pollution
problem?
A. That's very close to my recollection,
yes. We still had a group of research people,
marketing people; but Papageorge was brought in to
help handle Monsanto's own contribution to the
pollution problem, meaning that, if we had any PCBs
escaping in our own manufacturing plants.
Then, I
remember he got into the subject of how do you
dispose of Aroclor products that were sent back to
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Mons anto.
So yes, he was in the general area of
how do you reduce environmental contamination of
PCB .
Q. Is it correct to say that he was brought
in to coordinate the overall effort of Monsanto
with respect to the PCB pollution problem?
A. I don't recall that specifically, but I
think that's a bit of an overstatement.
I think
his contribution had to do with -- from the
manufacturing point of view and from a disposal of
Aroclors after we went out of the business, because
we still had research people working on the
subject.
We had the toxicologists working on the
subject, meaning Wheeler.
So -- and we had the
marketing people doing their own thing.
So I think
Papageorge originally was brought in to handle more
of the manufacturing, engineering end of it.
I think I should also specify that that's my recollection of the way it was in late
'69, early '70.
Papageorge stayed with it over an
extended period of time, and I didn't.
By 1974, I
was away from that scene, and I don't know what he
did after that.
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Q. Was there an effort to notify Monsanto's
customers of the PCB pollution problem in the
beginning of 1970?
A. There was an effort to notify them.
Again, I'm vague about the time frame.
Those
papers we just looked at indicated that would be
early in 1970.
So I assume that is correct.
I'm
vague as to time, but yes, customers were notified.
Q. Did Monsanto notify all of its PCB --
strike that.
How did Monsanto go about notifying its
customers related to the PCB problem?
MR. CHAMBERS:
Object to the form.
Are you
referring to plasticizer customers now, or are you
asking him to speak to customers across the board?
THE WITNESS:
My first qualification was going
to be I can only respond with regard to plasticizer
customers because I had no responsibility for the
functional fluids and they had their own program,
whichever it was, and I don't remember what it
was .
In the case of plasticizers, though, I
remember that we did notify customers of the PCB
problem sometime in, say, early 1970.
I couldn't
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give you a lot of detail about how we did it, but
we did it.
BY MR. DUFF:
Q. Was there any effort to coordinate the
message that was going out among different product
groups to those customers?
A. You mean the fluids group versus the
plasticizer group?
Q. Was there any -- let me ask the question
this way.
Was there any effort to coordinate the
message that went out to, for instance, the
plasticizer group and the functional fluids group,
to the customers of those groups?
A.
I don't recall that.
I don't recall.
Q. Did some customers receive more
information relating to the PCB problem than
others?
MR. CHAMBERS:
Object to the form, to the
extent it calls for speculation on Mr. Springgate's
part about what somebody else received or didn't
receive.
MR. DUFF:
Let me rephrase the question.
Q. Did Monsanto send different information
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to -- strike that.
Did Monsanto send more information to
some of its customers than others?
A. I can only speak for the plasticizer end
of the business, because I didn't have firsthand
knowledge of the functional fluids end.
In the plasticizer end of the business,
we notified customers and we provided them with
some information about PCBs, but then you say did
you provide more information to some than others.
The answer is probably yes, because some companies
came back and simply asked more questions than
others.
So you probably had -- I would have
recalled that we had greater amounts of information
with certain customers than with others because
they asked for more information.
Q. I'd like to show you a document which
has been previously marked as Plaintiff's
Exhibit 159.
This document has the date February
27, 1970 written at the top and bears production
numbers TNGS 004288 through 95.
Please take as much time as you need to
review this document.
(Previously marked Exhibit 159
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was shown to the witness and is annexed hereto . ) THE WITNESS: Okay. BY MR. DUFF: Q Was this a letter that Monsanto sent to its direct plasticizer customers on February 27, 19 7 0 ? A . It appears to be, although I don't remember the specific letter. Q Do you recognize the handwriting on the first page of this document? A . No, I don't. Q The author of this letter -- the individual who signed this letter is W.E . Schalk; correct? A . That's correct. Q- Was he your director of sales for plasticizers ? A. Yes, he was. Q Did he report directly to you ? A . Yes, he did. Q. Did you work with Mr. Schalk to prepare this letter? A . I don't recall that, one way or the
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other.
Normally, this letter would have been
written by Mr. Schalk with input from the PCB task
force, and I would have reviewed it.
That would
have been the normal approach, but I don't really
recall specifically. Q. Did you approve this letter before it
went out? A. I don't recall, but I most likely did.
Q. Was this letter shown to the legal department before it went out?
A. I don't recall, but it most likely was. Q. The first page of this letter indicates that recently several newspaper and magazine articles have been published indicating that PCBs have been discovered at some points in some marine,
aquatic and wildlife environments; correct?
A. That's what it says. Q. There's no reference in this paragraph, or anywhere else in this letter, to any published
reports that appeared in any scientific publications; correct?
A. It doesn't say that, and I don't know.
I can only take it on face value.
It says what it
says.
I don't recall anything else.
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Q. There's no reference in here to the work
of Soren Jensen and Gunnar Widmark; correct?
MR. CHAMBERS:
Object to the form.
Assumes
facts not in evidence.
THE WITNESS:
I don't know.
I also haven't
bothered to read the detail of the attachments.
I
don't know what the attachments say.
BY MR. DUFF:
Q. Please take as much time as you need to
review this document.
A. Your question again was what?
(The pending question was read.)
THE WITNESS:
Apparently not.
Not directly,
no.
That's apparently true.
BY MR. DUFF:
Q. In the second paragraph of this letter,
it says, "It is claimed that the PCBs fond strongly
resemble polychloronated biphenyl containing 54
percent and 60 percent chlorine by weight";
correct ?
A. That's what it says, yes.
Q. In fact, by this time, hadn't Monsanto
confirmed that PCBs that were 54 and 60 percent
chlorine by weight were present in the
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environment ?
MR. CHAMBERS j
Object to the form.
THE WITNESS:
I don't know.
I can't either
confirm or deny that.
I don't know what
information they had at this point in time.
BY MR. DUFF:
Q. This letter has an attachment, which is
an article from Chemical Week dated October 29,
1 9 6 9 ; correct ?
A. Yes, it does.
Q. Are PCBs mentioned anywhere in this
attachment ?
A.
I don't know.
I'm looking through it to
see if they are.
Q. This article really only relates to
water quality standards; correct?
A. Apparently that's what the first couple
of paragraphs refer to.
Q. As far as you can tell, there's no
reference to PCBs anywhere in this article; right?
A. If there is, I have not yet found it.
MR. DUFF:
Mr. Chambers, to move things along,
can you stipulate that Mr. Springgate won't find
any reference to PCBs in this article?
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MR. CHAMBERS:
Well, having not reviewed it
myself, I'm a little hesitant to even go that far.
I agree, I don't see the initials PCB in there
anywhere.
MR. DUFF:
Or polychloronated biphenyl?
MR. CHAMBERS:
I haven't seen it yet, if it's
even there.
BY MR. DUFF:
Q. Mr. Springgate, you don't see any
reference to PCBs or polychloronated biphenyls
anywhere in this article, do you?
A. No, I don't, but the last paragraph of
Mr. Schalk's letter says, "This article reflects
the view that good manufacturing practice in the
future may require that no products used by any
company be lost or discharged in such a manner as
to ultimately be found in the waterways."
That was apparently the reason he sent
this.
I don't remember the details.
I'm just
reading the words.
Q. This was the message that Monsanto gave
to its plasticizer -- strike that.
This was the message that you gave to
your plasticizer customers on February 27, 1970;
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10
11
12
13 14 15 16 17 18 19
20
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correct?
A.
It appears to be that, yes.
It's a
message on that date.
Q. And Mr. Schalk signed this letter and
sent it to your plasticizer customers with your approval; correct?
A.
Apparently.
I'll point out you brought
this letter to me.
I didn't take it to you.
I
don't know where this letter came from, and there
could have been two or three others.
I don't
know.
I also don't remember; right?
Q. Would it have been your custom and practice to approve a letter such as this before it
went out to all of your customers?
A.
Right.
But there may have been
additional letters, too.
Q. Prior to February 27, 1970, had you ever sent a letter to all of your plasticizer customers before?
A.
I don't recall.
Any subject, you mean?
The answer to that would be sure, we did.
You
notified all of your customers if you had a price
change, for instance.
If you had a new product,
you notified all your customers.
So there was some
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10
11
12
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20
21
22
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mechanism to broadly notify customers.
Q. Was Mr. Schalk responsible for
overseeing your sales force? A. You mean did the salesmen, the specific
salesmen, report to him or to his organization?
Q.
Yes.
Were the sales representatives for
the plasticizer group overseen by Mr. Schalk?
A. Yes.
BY MR. DUFF: Q. I'd like to show you a document that's
been previously marked as Plaintiff's Exhibit 251. This document bears production numbers TRAN 012547
through 71. Please take as much time as you need to
review this document.
(Previously marked Exhibit 251
was shown to the witness and is annexed
hereto.)
THE WITNESS:
Okay.
BY MR. DUFF:
Q. Have you had an opportunity to review
this document? A. Right.
Q.
I'm sorry?
Your answer?
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20
21
22
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A. Yes.
Q. You have had an opportunity to review
this document?
A. Yes, I have.
Q. This document is a presentation that was
made to the plasticizer field sales force; correct?
A.
Apparently.
I don't recall this
specifically, but that seems to be what it was,
yes .
Q.
And you
approved the information that
was given to Monsanto's plasticizer customers?
correct?
A. Yes, either directly or indirectly
through Walter Schalk.
Again, I don't remember it
specifically, but that seems to be what this is.
Q. On the first page of this document,
there is a description of the PCB contamination
problem; correct?
A.
It says,
"There have been several
newspaper and magazine articles in the U.S. in 1969
indicating that polych1oronated biphenyls (PCBs)
have been discovered in some marine, aquatic and
wildlife environments."
Is that the sentence you had in mind?
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20
21
22
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Q. There is an introduction here to the PCB
problem in general; correct?
A.
Yes.
"There have been several magazine
and newspapers articles published in the U.S. in
1969 indicating that PCBs have been discovered in
some marine, aquatic and wildlife environments. "
Q. And, in this presentation, the plasticizer sales force was also told about the
letter that was going to Monsanto's Aroclor
customers; correct?
MR. CHAMBERS!
Object to the form.
Lacks
foundation to the extent you're assuming this was
actually presented; but certainly as to what the document says on it's face, it's fine to proceed
with.
THE WITNESS:
It says, "Accordingly, a letter
has been cleared by our Legal Department for mailing to each of our direct Monsanto customers."
BY MR. DUFF:
Q. Where are you reading from?
A. I'm reading from the bottom of Page 2.
I was trying to answer your question, is this the
letter that went to customers.
Q. Does that refresh your recollection
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186
1 regarding whether or not the letter sent to your
f 2 plasticizer customers was cleared with the legal
3 department ?
4 A. My recollection is we did send letters
5
to customers.
I don't remember the details.
It's
6 very logical that it would have been cleared by the
. 7 legal department.
8 Q. One of the things that the field sales
9 force was told on the bottom of the first page of
) 10 this document was that Monsanto had a duty to alert
11 its Aroclor customers to a potential problem of
12 environmental contamination; correct?
$ 13
A.
Yes.
It says that, "It was felt that
14 Monsanto, as responsible member of the business
15 community, had a duty to alert its Aroclor * 16 customers to a potential problem of environmental
17 contamination."
18 Q. And directing your attention to the
1 19 second page of this document, and specifically the
20 bottom of that page, it's stated that the letters
2 1 will be mailed from St. Louis at the end of
2 2 February; correct?
2 3 A. That's what it says, yes.
2 4 Q. It says that the letter will be
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1 addressed to the Office of the President of your
\ ' 2 plasticizer customers; correct?
3 A. That's what it says, yes.
4 Q. Directing your attention to Page 3 of
5 this document, specifically in the middle of this
6 page, the sales force was told, "It is not our
7 responsibility to alert our distributors'
8
customers."
Is that correct?
9 A. That's what it says, but right above
10 that it says we will notify our distributors -- "We
11 will recommend that our distributors mail a similar
12 letter promptly to each of their Aroclor
$
13
customers.
Copies of our letters will be made
14 available to our distributors in quantities
15 sufficient to meet their needs."
; 16
Q. Did Monsanto's distributors have the
1 7 technical knowledge and understanding, the same
1 8 technical knowledge and understanding of the PCB ' 19 problem as Monsanto had?
20
MR. CHAMBERS:
Object to the form of the
2 1 question to the extent you're asking Mr. Springgate
22 to speculate about what somebody else knew or
2 3 didn't know.
24 If you're able to respond to that, you
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1 can.
2
THE WITNESS:
I could not respond to that
3 clearly, except to say one of our distributors was
4 called Central Solvents Company in the Chicago
5
area.
They were distributors of chemical product,
6 and they had reasonable know-how in terms of how to
7
handle and respect for chemical products.
I don't
8 remember the other distributors.
9 BY MR. DUFF:
! 10
Q. Was it important to you, in the
1 1 beginning of 1970, that your distributors, such as
1 2 Central Solvents, had a technical understanding of
$ 13 the PCB problem so that they could answer their
14 customers' questions?
15 A. I don't recall that specifically, but } 16 let me comment that we were providing some
1 7 information to the distributors, and a normal
18 activity would have been to say, "If you need more ' 19 detailed technical information, contact Monsanto's
20 plasticizer group."
2 1 Q. The letter is summarized at the bottom
2 2 of Page 3 and on Page 4 and the top of Page 5;
2 3 correct?
24
A.
That's what it says.
It says, "Let me
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2
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6
7
8
9
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20
21
22
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summarize what Monsanto's letter says." Q. And there are five points made
relating -- summarizing the letter; correct? A. Yes, that appears to be correct. Q. And the first point that's made is that
the primary function of the letter is to alert Monsanto's customers to the potential environmental pollution problem; correct?
A. That is correct. Q. And then the sales force was told "Confidentially, our Legal Department believes this will minimize and, hopefully, eliminate claims made against us for environmental pollution damage"; correct? A. That's what it says, yes. Q. Directing your attention to Page 5 of this document, do you see the section 3 titled "Customer Reaction"? A. Yes, Ido. Q. The first sentence says, "Weexpect this letter will lead to customer reaction"; right? A. Correct. Q. What customer reaction did you expect to receive ?
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6
7
8
9
10
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20
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A. I don't recall what I had in mind.
Q. Directing your attention to the top of Page 6, this is still under the customer reaction
s ec tion.
Do you see that?
A. Yes.
Q. Was it important that Monsanto's
customers react appropriately when they received this letter from Monsanto?
MR. CHAMBERS;
Object to the form of the
question.
It's vague, confusing, ambiguous.
THE WITNESS; back ?
Can I ask for that to be read
MR. DUFF:
Certainly.
Please read the
question back for the witness. (The pending question was read. )
MR. CHAMBERS:
Same objection.
THE WITNESS:
I guess I don't understand the
question.
We were trying to notify the customers
that there was potentially a problem.
When you
notify your customer that there is potentially a
problem, you worry about several things.
Will your
customer be without a product to continue his
business, or will your customer be able to find an
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alternate so he can continue his business.
Each of
those has different implications, but the thought
within Monsanto was that we owed our customers an
update and information on possible PCB
contamination.
That's what we were trying to
ac c omp1is h.
BY MR. DUFF:
Q. The sales force was told to remember
that the letter was "...going to the 'Office of the
President' so it may get down to his subordinates
in a variety of different ways leading to a variety
of reactions"; correct?
A. That's what it says, yes.
Q. And then the sales force was told the
reason behind why the letter was sent to the office
of the president; correct?
A. Correc t.
Q. And that reason was because Monsanto's
legal department felt that, by sending the letter
to the office of the president, that Monsanto would
have really notified a company officially of the
potential problem; correct?
A. That's what the letter says, and my
experience is that that's the only way to do
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2
3 4 5
6
7
8
9
10
11
12
13 14 15 16 17 18 19
20
21
22
23 24
things.
If you want to notify a company, you
notify the CEO of the company.
That's the formal,
official, legal way to do things.
Q. Is that because, if there is a -- I'm
picking up on the language here again on Page 6 -
"If there is any legal litigation later, the
courts might feel that sending a letter to Joe Doe,
Plant Purchasing Agent, was not legal notification
because Joe Doe may not be an officer of the
company"?
MR. CHAMBERS:
Object to the form of the
question.
MR. DUFF:
Would you please read the question
back for the witness?
(The pending question was read. )
THE WITNESS:
That is exactly what this paper
says.
I don't happen to remember the details of
this presentation, this paper, but what you said is
exactly what the paper said.
BY MR. DUFF:
Q. And that's the justification that was
given for -- strike that.
That's the reason that was given for
sending the letter to the office of the president;
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correct?
MR. CHAMBERS: Object to the form of the
question. Lacks foundation.
THE WITNESS: I don't know what the reason
was. I can only read it as it exists. I don't
remember what any other reason might have been.
BY MR. DUFF:
Q. Well, the information that was given to
the sales force here was that sending a letter to
Joe Doe, plant purchasing agent, would not be legal
notification if Joe Doe was not an officer of the
company; is that right?
MR. CHAMBERS: Object to the form of the
question. You haven't established that this was
ever given to the sales field force, for one
thing.
Again, if you're asking about what's
written in the document
THE WITNESS: I can only say that that's what
is written in the document because I don't recall
the details of this at all.
MR. DUFF: Off the record for a moment.
(Discussion off the record.)
BY MR. DUFF:
Q. Attached to this presentation to field
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1 sales is a list of dos and don'ts for regional
') 2 managers ; correct ?
3 A. Yes, that appears to be true.
4 Q And also a list of likely customer 5 questions ; correct?
6 A. That appears to be true.
7 Q- And the information to be given to 8 customers was approved by yourself and by
9 Mons anto' 8 legal department; correct?
10 A. I don't recall specifically, but it's
11 logical that that's true.
12 Q- And, in fact, it says that on Page 7 of
13 this document; correct?
14 A. Okay, right.
15 ) 16
Q- Is that right? A . Right.
17 Q That's correct? 18 A . Yes, that's correct.
19 Q Directing your attention to the page 2 0 which has the title at the top, "Dos and Don'ts for
21 Regional Managers," do you see that?
22 A. Yes, I do.
23 Q. There are eleven things that regional
24 managers are told to affirmatively do here;
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correct? A. Correc t. Q. How many regional managers did you have
for plasticizers at this time? A. My recollection would be five or six. Q. Do you recall any of their names? A. Probably Joe McNamara in New York.
Somebody in Chicago. We had somebody in Boston and somebody in Cincinnati. Tim Eddie,E-D-D-I-E, I think. They are the only names I can recall at the moment.
Q Did your regional managers report directly to Walter Schalk?
A. No, they reported to an intermediate sales manager at this time. I think his name was Jim Wright, W-R-I-G-H-T.
Q. Did Jim Wright report to Walter Schalk? A . Correc t. Q. One of the things that the regional managers were told to do was to stick to the answers given to specific questions if these are the ones asked; correct? A. Which point are you here? Q No. 6. Do you see that ?
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A. Yes. That's what it says. Let me back
up to the prior question. I gave you some names of
people.
Q . Okay.
A. I got my businesses confused. Too many
businesses over that period of time. There was a
man -- Joe McNamara was, I think, maybe the Boston
regional manager. The New York regional manager
was a man named Ed Fording, F-0-R-D-I-N-G. Tim
Eddie was in Boston, but in a different business.
I give the names of the others.
Q. Were you right about Jim Wright's
position?
A. Yes. Jim Wright is correct, and he
reported to Walter Schalk.
Q. Directing your attention to the second
page of this list of dos, do you see numbers 7
through 11 listed on this page?
A. Correct.
Q. In No. 7, theplasticizer
sales
representatives were told to direct customer
questions back to St. Louis; correct?
A. Correc t.
Q. No. 10, thepoint was tominimize calls
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to St. Louis relating to the customer-notification
letter; correct?
A. That's what it says, but I don't know
why it says that. I don't remember the line of
reasoning there.
Q. It seems contrary to the previous point, does n't it ?
MR. CHAMBERS: Object to the form. When you
say "previous point," you're referring to No. 7?
MR. DUFF: Yes, I am. Let me clarify that.
Q. Point 10 seems to be contrary to point 7, doesn't it?
MR. CHAMBERS: of that question.
I'll still object to the form
THE WITNESS: It does, but I don't remember
the reason for that.
BY MR. DUFF:
Q. I direct your attention to the next page, which has a list of don'ts for regional
managers; correct?
A. Correct.
Q. One of the things that regional managers
were told not to do, and I'm specifically referring
to point 2 here, was to "Bring up the subject of
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the Aroclor letter with their customers"; correct? A. That's what it says. I don't know why
the writer suggests that. I don't know why. Q. As the director of the plasticizer
business group, wouldn't you want your sales force to actively promote the information that was contained in the Aroclor letter to your customers?
A. From where I sit today, I would think so. I don't have any idea what the background was of that 1ine.
Q. Did Walter Schalk run this list of don'ts by you before he presented it to the plasticizer sales force?
A. I don't remember it specifically, but it would be logical that he did.
Q. Another point that was made in this list of don'ts for plasticizer regional managers was No. 8, where the regional managers were told to not give indications that Aroclor 1254 and 1260 will be discontinued; correct?
A. That's what it says. Q. But the plan at this time was to eliminate that product; correct? A. I don't recall it. It's not logical.
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Apparently, at that point in time, the decision had not been made to eliminate those products. Apparently.
Q. Yet the letter that went out to the customers told them that this is the potential environmental contaminant; right?
A. That is correct. Q. Did you not want your customers to stop buying the product before you told them it was discontinued? A. I don't know. I don't recall what the line of reasoning was behind that. MR. DUFF: Off the record.
(Discussion off the record.) (Time noted: 5:25 p.m.)
JAMES E. SPRINGGATE
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STATE OF CALIFORNIA CITY AND COUNTY OF SAN FRANCISCO
) SS. )
I hereby certify that the witness in
the foregoing deposition, JAMES E. SPRINGGATE,
was
by me duly sworn to testify to the truth, the
whole truth and nothing but the truth, in the
within-entit1ed cause; that said deposition was
taken at the time and place herein named; that the
deposition is a true record of the witness's
testimony as reported by me, a duly Certified
Shorthand Reporter and a disinterested person, and
was thereafter transcribed into typewriting by
computer.
I further certify that I am not
interested in the outcome of the said action, nor
connected with, nor related to, any of the parties
in said action, nor to their respective counsel.
IN WITNESS WHEREOF, I have hereunto
set my hand and affixed my signature this 11th day
of December, 1995.
DEIRDRE F. CRAM, C.S.R. 9339
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INDEX VOLUME I
THURSDAY, NOVEMBER 30, 1995 WITNESS JAMES E. SPRINGGATE
(BY MR. DUFF)
EXAMINATION 4
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NUMBER 401
402
DEPOSITION EXHIBITS JAMES E. SPRINGGATE
DESCRIPTION
Handwritten notes of a Friday Meeting Nos. TRAN 057762-66
Letter - August 25, 1969 from E.V. John Prod. No. TNGS 009431
IDENTIFIED 57
64
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PREVIOUSLY MARKER DEPOSITION EXHIBITS
JAMES E. SPRINGGATE
NUMBER
DESCRIPTION
IDENTIFIED
172
Memo - March 6, 1969 from W.R. Richard to E. Wheeler Prod. Nos. TRAN 058343-45
41
3 11
Letter - August 25, 1969 from E.V. John Prod. No. TNGS 009432
61
3 12
Handwritten notes headed "Aroclor - Wildlife Meeting 8-25-69" Prod. Nos. TNGS 009429-30
65
3 13
Handwritten notes headed "PCB Committee August 25, '69 Prod. Nos. TNGS 009421-28
72
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PREVIOUSLY MARKED DEPOSITION EXHIBITS
JAMES E. SPRINGGATE
NUMBER
DESCRIPTION
IDENTIFIED
3 16
Multipage document dated October 2, 1969, Subject: "Report of Aroclor 'Ad Hoc' Committee " Prod. Nos. TNGS 009475-87
94
36 9
Two-page document entitled "Public Relations Report" dated October 1969 Prod. Nos. TRAN 058372-73
107
319
Memo - November 10, 1969 f rom E.V. John Prod. Nos. TNGS 009488-93
109
14 0
Multipage document headed "Outline - PCB Environmental Pollution Abatement Plan" Prod. Nos. STR 021938-61
132
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PREVIOUSLY MARKED DEPOSITION EXHIBITS
JAMES E. SPRINGGATE
NUMBER
DESCRIPTION
IDENTIFIED
135
Three-page document entitled "Minutes of Meeting of the Corporate Development Committee" dated November 17, 1969 Prod. Nos. TRAN 091377-79
133
136
Multipage document entitled "PCB Presentation to Corporate Development Committee" dated November 17, 1969 Prod. Nos. TRAN 024713-37
159
370
Two-page document headed "Public Relations Report" dated December 1969 Prod. Nos. TRAN 058368-69
170
159
Two-page form letter to "Dear Customer" with attachment Prod. Nos. TNGS 004288-95
176
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PREVIOUSLY MARKED DEPOSITION EXHIBITS
JAMES E. SPRINGGATE
NUMBER
DESCRIPTION
IDENTIFIED
251
Multipage document entitled "Presentation to Field Sales Personal and Confidential" Prod. Nos. TRAN 012547-71
183
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1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24
JAMES E. SPRINGGATE
DECEMBER 12, 1995
C/O ROLLY L. CHAMBERS, ESQ.
227 NORTH TRYON STREET
CHARLOTTE, NORTH CAROLINA 18202
Re:
TENNESSEE GAS vs. MONSANTO
DEPOSITION OF: JAMES E. SPRINGGATE, VOL. I
TAKEN ON: THURSDAY, NOVEMBER 30, 1995
Dear Mr. Springgate:
The transcript of your deposition taken in the
above matter is available at this office for your
review. If it is more convenient, you may read
your attorney's copy.
In the event you have not read, corrected and
signed your deposition within thirty (30) days of
receipt of this letter, it may be used with the
full force and effect as though it had been read,
corrected and signed.
If you have any questions in this regard,
please contact this office.
cc: ORIGINAL
INTERIM COURT REPORTING
cc: ALL COUNSEL
CERTIFIED DEPOSITION REPORTERS
ONE EMBARCADERO CENTER, SUITE 360
SAN FRANCISCO, CALIFORNIA 94111
(415) 362-6666
INTERIM COURT REPORTING
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