Document G6N8j6w71xR1jEYYRnL85km8x

1 these cases, didn't he? Page 3436 2 A He may or may not. I mean, it became 3 obvious when I read the history, because since 4 medicine and science was very slow to recognize a 5 hazard, that obviously would be what industry would 6 say. 7 Nobody told us it was dangerous, how are we 8 supposed to know. 9 Q I understand, but he told you what their 10 defense was in the case, didn't he? 11 A I don't know. He may have, maybe not. I 12 honestly don't remember. 13 Q And you have testified since then for Owens- 14 Corning Fiberglas for a number of times, or a number 15 of times, correct? 16 A Yes. 17 Q You testified for Pittsburgh Corning? 18 A Probably. A lot of cases have five or 20 19 defendants. 20 Q You have testified for a company known as 21 Johns-Manville?