Document GKgxwR259Rm8r6agj1Gg84BKv
Li&v Offices Of
iiAUGrHLIlSr FALBO LEVY <fc MORESI
A Partnership Including Professional Corporations
SACRAMENTO Te l e p h o n e (Die) 441*6045
REDDING Te l e p h o n e 4016) 222*0268 Fa c s imil e (016) 222*5705
LONG BEACH Te l e p h o n e (233) 405*3711 Fa c s imil e <213) 405*3225
ICEHOUSE II
151 UNION STREET* SUITE 300
SAN FRANCISCO. CALIFORNIA 04111*1221
Te l e p h o n e (415> 781*6676
Fa c s imil e (415) 781*6823
j"
December 2,
Ann Del Vecchio Self-Insurers Service, Inc. 2620 Augustine Drive, Suite Santa Clara, CA 95054
280
1988
SAN FRANCISCO:
MICHAEL. W. LAUGHLIN*
GERALD A. FALBO*
ROGER A. LEVY* ALFONSO J. MORESI
f) [ { C,;; /
JOHN T. BENNETT. JR.
JAMES R. WESOLOWSKI PATRICIA E. GOULd | /7-"
PHILLIP J. KLEIN
'
q
BERTA J. GILMAN
MARK H. BARBER
FREDERICK L. WALTER. JR.
LUCILLE M. GREENWAY
CLARK W. PATTEN
STEVEN D. TUAN DAVID W. BOSTON
RONALD J. TONEGATO
BENJAMIN C1NTZ
CKER1SSE C. DYAS
WILLIAM F. HOFFMANN**
GERALD R. BURKE
DIANE M. WILLIAMSON
JUDITH A. LBICHTNAM
MILTON D. LATHAN PHIL N. WALKER
SUSAN E. FINTOR
i
SACRAMENTO:
GERALD A. FALBO* BARRY M. LESCH DEMETRA G. JOHAL JAMES P, PETTIBONE
REDDING:
HENRY M. SLOWIK BRIGHAM P. JONES
LONG BEACH:
DOUGLAS M. MARSHALL ROBERT E. BABCOCK* M. JOSEPH RODRIGUEZ*
* A PROFESSIONAL CORPORATION
** ADMITTED VIRGINIA PRACTICE LIMITEO TO FEDERAL COURT
OF COUNSEL. WILLIAM W. WERTZ
Re d a c t e d
Re:
#3, et al. WCAB Case No:
OAK 141300
d) v. Kaiser Shipyard
Dear Ms. Del Vecchio:
Enclosed herewith, please find a complete copy of the medical report file, which has just been served on us by counsel for co-defendant, Kaiser Shipyards.
Dr. Shonfeld was reporting for the co-defendant, and indicated that the case was not asbestos related, because of the rather-long latency period of 43 years. Exactly how Kaiser can now turn around and say they want the money back when their own physician says it is not asbestos related is beyond us.
Dr. Shonfeld also comments that there is no indication that any of the chemicals or paints that the applicant worked with at Sherwin-Wi11iams were causative of the lung cancer. It is Dr. Shonfeld's conclusion that the lung cancer was caused by a long smoking history.
Dr. Barry Horn, who was reporting on behalf of Mrs. McGhee, states that the condition is in fact asbestos related; and, he states that the exposure at Kaiser Shipyards was in fact
0007-SWP-005803537 CONFIDENTIAL
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SIS Re: / December 2, 1988 Page Two
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the cause of the cancer. He has written a number of reports, and does not feel that the latency period suggested by Dr. Shonfeld is too long.
This matter is .back on the conference calendar; and, we anticipate counsel for Kaiser Shipyards again restating his demand for deposition testimony of safety individuals at Sherwin-Williams to determine if in fact there was any asbestos exposure while applicant was employed there. In his own deposition, of which we do not have a copy, he apparently stated that there was no asbestos exposure.
We will be reporting to you following our attendance at the conference; but, if you have any questions concerning the enclosed medical reports, please advise us.
Very truly yours,
LAUGHLIN, FALBO, LEVY & MORESI
By: ALFONSO .!. MORESI
Alfonso J. Moresi
AJM/jm Enclosure cc: John F. King, Esq., Sherwin-Williams Company,
101 Prospect Avenue, N.W., Cleveland, OH 44115-1075 Tony Colangelo, Sherwin-Williams Company, 101 Prospect Avenue, N.W., Cleveland, OH 44115-1075
0007-SWP-005803538 CONFIDENTIAL