Document Ev0eB2jEO1O5qxGOEED2De6zV

(d) General Motors. If so state: (i) the first and last date those asbestos containing brake linings were sold to General Motors; (ii) is the defendant in possession of any contracts or agreements for such sales. Provide a copy of same; (iii) is the defendant in possession of any invoices for such sales. Provide a copy of same; (iv) is the defendant in possession of any reports, memorandum or correspondence for such sales. Provide a copy of same; (e) Mack. If so state: (i) the first and last date those asbestos containing brake linings were sold to Mack; (ii) is the defendant in possession of any contracts or agreements for such sales. Provide a copy of same; (iii) is the defendant in possession of any invoices for such sales. Provide a copy of same; (iv) is the defendant in possession of any reports, memorandum or correspondence for such sales. Provide a copy of same; (f) Southside Trailer Service. If so state: (i) the first and last date those asbestos containing brake linings were sold to Southside Trailer; (ii) is the defendant in possession of any contracts or agreements for such sales. Provide a copy of same; (iii) is the defendant in possession of any invoices for such sales. Provide a copy of same; (iv) is. the defendant in possession of any reports, memorandum or correspondence for such sales. Provide a copy of same; (g) Roadway Express. If so state: (i) the first and last date those asbestos containing brake linings were sold to 59