Document GKrj4JY0mDKRXZLrb0Z37YLnq
FILE NAME Reichhold REI
DATE 2012 June 11 DOC REI038
DOCUMENT DESCRIPTION Legal - Deposition of Barry Castleman
Deposition of Barry Castleman
June 11 2012 Case In Re Asbestos Litigation 072012J TG
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MillerVerbanoReporting
Papriluss Specialists for Comples Litigation
M3 49XX 49XX
302.464.0880 302.261.7396
Office@Miller-Verbano.com
Barry Castleman
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IN THE SUPERIOR COURT OF THE STATE OF DELAWARE
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IN AND FOR NEW CASTLE COUNTY
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IN RE ASBESTOS LITIGATION
CERTIFIED TRANSCRIPT
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67
072012J TRIAL GROUP
67
Riess Alyce Fuller
C.A. No. 04-087
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Attwood Raymond
C.A. No. 01-021
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Weaver Yvonne
C.A. No. 02-063
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Hartgrave Anna Rose
C.A. No. 07-303
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te
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Telephonic Deposition of BARRY I. CASTLEMAN SC.D.
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Monday June 11 2012
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9:59 a.m.
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BEFORE
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Adam D. Miller Registered Professional Reporter
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Barry Castleman
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... 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24
TELEPHONIC : APPEARANCES
On Behalf of Plaintiffs THOMAS C. CRUMPLAR ESQUIRE JACOBS & CRUMPLAR P.A. 2 East 7th Street 4th Floor
P.O. Box 1271
Wilmington Delaware 19899
On Behalf of Reichhold Chemical Inc
CHARLES A. McCAULEY III ESQUIRE
OBERMAYER REBMANN MAXELL & HIPPEL LLP
1000 North West Street Suite 1200
Wilmington Delaware 19801
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>
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Fe
BY MR MCCAULEY BY MR CRUMPLAR BY MR MCCAULEY
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Barry Castleman
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BARRY I. CASTLEMAN Sc.D. having
2
first been duly sworn according to law was examined
3
and testified as follows
H
MR CRUMPLAR
Let me just say one
5 >
thing real quick before we start questioning
Dr. Castleman
He has been deposed innumerable times
7
in Delaware and around the country
I defended a
8
deposition of him in Delaware August 2nd 2010. I
9
think there's been Delaware depositions since then
10
He's updated his CV
11
I know that under Delaware rules
12
you're obligated to review prior depositions of
13
Dr. Castleman so we do not have duplication
I would
14
hope that there will be very minimal questions as to
15
his qualifications because those have been covered
16
many times maybe a brief update in terms of since
17
his last deposition
18
His general state opinion
19
has been covered many times We're producing him so
20
that you can ask him about specific questions
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regarding Reichhold ...
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Discussion held off the record
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BY MR MCCAULEY
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Q.
You heard that preliminary statement did
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you not
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A.
Sure
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Q.
In January of 2011 you testified that you
4
have no information or opinions on Reichhold
5
Chemical Inc true
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MR CRUMPLAR
Objection to form
I
7
don't think that's exactly what he said
If you can
8
read the answer I think it would be better
9
THE WITNESS Well the testimony is
10
whatever it is and I stand by it
11
BY MR MCCAULEY
12
Q.
Do you believe that you've ever given a
13
deposition where you've expressed any opinions about
14
Reichhold Chemical Inc.
15
A.
Well I said they're a chemical company
16
and chemical companies are in the business of
17
handling toxic substances and presumably employ folks
18
who have some expertise in the field of occupational
19
health
I imagine I've said that in the past
But
20
as to specific documentation on Reichhold I don't
21
think I have cited anything
22
MR MCCAULEY
Object to
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responsiveness
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BY MR MCCAULEY
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Q.
You do not believe that you've ever
2
previously given a deposition in which you've
3
specifically expressed any opinions about Reichhold
4
true
5
A.
Well I don't think anything beyond what I
6
just said right
7
Q.
Would you be able to tell me the name of
8
any case in which you've ever previously expressed
9
any opinions about Reichhold
10
A.
No.
I don't remember these depositions
11
and trials I had 78 depositions last year
12
Q.
Do you remember how many trials you had
13
last year
14
A.
Around 25 to 30
15
Q.
And you in your book where you discuss
16
corporations and their knowledge and use of asbestos
17
you do not mention Reichhold in any version of your
18
book do you
19
A.
I do not
20
Q.
I have been provided with some documents
21
that it has been represented to me that you have
22
reviewed relating specifically to Reichhold Did you
23
receive some documents for these cases in which
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you've been retained
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Barry Castleman
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A.
Yes sir
Page 6 Page 6
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Q.
And from whom did you receive those
3
plaintiff's counsel
4
A.
Mr. Crumplar yes
5
Q.
And when did Mr. Crumplar send you
6
documents specific to Reichhold
7
A.
I talked to him about that yesterday
8
evening
9
Q.
And did you receive the documents for the
10
first time yesterday evening
11
A.
Well some of this material I had seen
12
before But it was assembled and presented to me
13
yesterday evening by Mr. Crumplar
14
Q.
Did you meet with him in person
15
A.
Yes I did
16
Q.
Where are you today
17
A.
I'm in a hotel room in Delaware
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MR CRUMPLAR
Let me say I'm in my
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office in Delaware
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BY MR MCCAULEY
21
Q.
Where did you meet with Mr. Crumplar last
22
night
23
A.
At a restaurant
We had dinner
24
Q.
And for how long did you meet
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A.
Well two to three hours
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Q.
Did you review some documents over dinner
3
A.
I did
4
Q.
And were these documents that Mr. Crumplar
5
brought with him
6
A.
They were
7
Q.
And you didn't have -- before Mr. Crumplar
8 gave them to you you did not have any documents that
9
were specific to Reichhold did you
10
A.
No. Well I did not have any internal
11
corporate documents of Reichhold that's for sure
Q.
And you've reviewed documents relating to
Union Carbide in the past right
14
A.
Yes I have
15
Q.
You discuss Union Carbide in your book
16
correct
17
A.
Right That's right
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Q.
And do you recall any of your the Union
19
Carbide documents that you reviewed mentioning
20
Reichhold
21
A.
I don't
22
Q.
Do you know how Mr. Crumplar went about
23
selecting the documents that he showed you last night
24
at dinner
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A.
Well two to three hours
Page 7 Page 7
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Q.
Did you review some documents over dinner
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A.
I did
4
Q.
And were these documents that Mr. Crumplar
5
brought with him
6
A.
They were
7
Q.
And you didn't have -- before Mr. Crumplar
8
gave them to you you did not have any documents that
9
were specific to Reichhold did you
10
A.
No.
Well I did not have any internal
11
corporate documents of Reichhold that's for sure
12
Q.
And you've reviewed documents relating to
13
Union Carbide in the past right
14
A.
Yes I have
15
0
You discuss Union Carbide in your book
16
correct
17
A.
Right That's right
18
Q.
And do you recall any of your the Union
19
Carbide documents that you reviewed mentioning
20
Reichhold
21
A.
I don't
22
Q.
Do you know how Mr. Crumplar went about
23
selecting the documents that he showed you last night
24
at dinner
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Barry Castleman
A.
No I don't
Page 8 Page 8
Q.
Did he make any representations to you at
all about how complete a set of documents he showed
you last night
A.
No. I mean obviously they're -- the
internal corporate documents certainly leave a lot to
be desired in terms of completeness
MR CRUMPLAR
Let me just say if you
wish to give Dr. Castleman documents that you think
will add to the completeness Dr. Castleman is
delighted to have documents from defense counsel
In
fact in his book he acknowledges the help of defense
counsel
So as a scientist and a scholar he'll
welcome the truth from all sources
THE WITNESS
That's true
MR MCCAULEY Object to the sidebar
BY MR MCCAULEY
Q.
In the materials that -- how many
documents did Mr. Crumplar present you with at dinner
last night
A.
I don't know
But the accumulation of
documents is about an inch thick including about a inch is just one photocopied issue of a Chemical Week trade journal from 1966. So that's generally
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the description I guess I can give you
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Q.
After looking at these documents and
3
meeting with Mr. Crumplar last night did you form
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5
fi
any opinions about Reichhold
A.
Well certainly some additional
information available through the corporate documents
7
that I suppose would add definition to whatever
8
opinions I expressed in the past yes
9
Q.
Before your meeting with Mr. Crumplar last
10
night had you ever discussed with anyone from
11
Jacobs & Crumplar what your specific opinions or
12
whether you had any specific opinions regarding
133
Reichhold
14
A.
Well I might have just given Mr. Crumplar
15
my you know they were a member of the chemical
16
industry opinion but nothing beyond that
17
Q.
But in terms of any specific products that
18
they made before last night did you know what
19
products Reichhold may have made that contained
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asbestos
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A.
I don't think I did
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Q.
And did you review any formulations for
23
any Reichhold products that may have contained
24
asbestos
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A.
Well I've seen - and some of the
2
documents refer to the percent asbestos in the
3
granulated resin as being 51 or 52 percent
4
Q.
Are you talking about the material safety
5
data sheet
>
A.
That might be one of the documents that
7
does that yes
8
Q.
Do you know what the product is that
9
Reichhold manufactured that contained asbestos that's
10
allegedly involved in this case
11
A.
Yes Aphenolic resin that was about
12
50 percent 51 52 percent asbestos
13
Q.
Other than the material safety data
14
sheet -- first of all do you have any documentation
15
about where the material safety data sheet came from
16
the one that you reviewed
17
A.
Nothing beyond whatever it says on the
18
face of the document itself
19
Q.
Have you seen any what you believe to be
20
any documentation that Square D ever purchased
21
phenolic molding compounds from Reichhold
22
A.
No I'm not testifying about product
23
identification
Other witnesses will do that
24
Q.
Of the grades of phenolic molding
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Barry Castleman compounds that Reichhold manufactured
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do you know
how many of those grades contained any asbestos at
all
A.
No I don't
Q.
Are you familiar with the NIOSH definition
for containing product that was published in
the 1970s
A.
I don't know what you're referring to
Q.
Are you aware of NIOSH publications that
state that products with less than 5 percent asbestos
are not considered asbestos products at all
A.
No I'm not aware of that
Q.
Are you aware of any statement by OSHA in
the 1970s that a product that contains less than
5 percent asbestos is not considered an
containing product
A.
No I'm not aware of any such statement
Q.
Are you aware of any such statement
regarding products that contained less than 2 percent
asbestos from OSHA or NIOSH
A.
No I'm not
Q.
How about 1 percent asbestos
A.
No.
I can't recall any statements from
either of those agencies that would draw such a line
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Barry Castleman
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Page 12 and indicate that products with less asbestos in them
than 1 percent or whatever are harmless or not
counted as asbestos products
Q.
Are you familiar with any of the other
ingredients that were in any of the phenolic molding
compounds that contained asbestos made by Reichhold
A.
Well it looks from one of these documents
like vinyl chloride might be involved but it's not
clear from the document whether that's the case
Q.
Have you previously reviewed any materials
relating to -- well first of all are you familiar
with the Square D company
A.
Just the least bit
Q.
Do you know who their successor is that's
still in business
A.
No I don't
Q.
Have you ever heard of Schneider Electric
A.
It may have come up in some deposition or
trial
I don't -- not in trial
Probably in
deposition But I don't really remember it's kind
of a blur
Q.
You're generally aware that Square D in
the 1960s 70s and 80s manufactured electronic
components things like switch boxes correct
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A.
So I understand yes
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Q.
And you're aware that the plaintiffs in
3
the case worked at a Square D facility in Cedar
4 5 6 7 8 9 10 11 12
13
14
Rapids Iowa
A.
Yes
Q.
And that facility would have been subject
to OSHA regulations as of 1971 right
A.
I would think so yes
Q.
Your opinion would be that if they were an
employer using containing products then
they had reason to know about potential hazards
associated with asbestos from back in the 1950s
correct
MR CRUMPLAR He's speaking about
15 16 17 18 19 20 21 22 23 24
Square D right
MR MCCAULEY
Yes
MR CRUMPLAR
Okay
THE WITNESS
I guess it depends on
whether they were informed that the -- that the resin
contained asbestos
I don't know - I mean if they
were just sold a resin that met certain physical criteria and they were not told about the composition of the resin for proprietary reasons or something like that then I can imagine - although I wouldn't
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Barry Castleman
expect that this was the case -- I can imagine circumstances under which they received an containing product but didn't know it
Page 14 Page 14
contained asbestos
I'm just saying this to be careful because there were a lot of containing
products that were marketed without any effort to advise disclose or warn people about the presence
of the asbestos
BY MR MCCAULEY
Q.
It would be your opinion that an employer
using raw materials to manufacture a product need not
figure out what is in those raw materials
A.
Well I would think that usually companies
would want to know about these things
But there
were an awful lot of products that were sold under
trade names
And there was a whole lot of business
confidential called secret type of reasons for the sellers of some of these materials to be less
than total in their disclosure of what these products
they were selling contained I just don't know
As I'm trying to
answer your questions I'm thinking well I've never
seen any Square D documents
I've never seen
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documents that confirm that Square D knew that say
2
in the case of Reichhold the resin they were using
3
contained asbestos Maybe they were told about this
4
Maybe it was freely disclosed at the time
It may
5
well have been
I just don't know
>
Q.
Well as of 1971 OSHA imposed a federal
7
obligation on employers to figure out whether their
8
employees were exposed to asbestos right
9
A.
Well it imposed an obligation for them to
10
protect their employees if they were exposed to
11
asbestos and so I suppose there was an implied
12
obligation to find out if their employees were
13
exposed to asbestos
14
But you know in the case of for
15
example joint compounds that were sold to
16
construction companies that were using -- that were
17
building homes These joint compounds were sold
18
without any disclosure that the products contained
19
asbestos or that they were dangerous in say 1971
20
And it's a little hard for me to see
21
you know how the OSHA regulations were supposed to
22
have been applied by the construction contractors
23
receiving those products who were not told about the
24
presence of asbestos in them and who didn't have
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any -- many -- most of these companies didn't have
2
any special expertise in occupational safety and
3
health in terms of employing safety men industrial
4
hygienists and company doctors who knew something
5
about occupational diseases
6
MR MCCAULEY Object to
7 00 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24
responsiveness
BY MR MCCAULEY
Q.
Square D wasn't a construction contractor
were they
A.
No they weren't
Q.
They were a manufacturer of electrical
components right
A.
Right
And phenolic molding compounds were a raw
material used by a manufacturer in a manufacturing
facility correct
A.
Right
Q.
Have you reviewed any information from
Square D at all -- let's take it this way Any
Square D documents have you reviewed any of those
for this case
A.
No I haven't
Q.
Have you reviewed any deposition testimony
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from any person most knowledgeable or corporate
2
representative of Square D
3
A.
No I haven't
4
Q.
Are you aware of the various companies
5
that sold Square D phenolic molding compounds other
6
than allegedly Reichhold
7
A.
I have been told there were about five
8
other suppliers of this kind of resin material
9
Q.
Who told you there were five other
10 11 12 13 14 15 16 17
18 19 20 21 22 23 24
suppliers
A.
Mr. Crumplar
Q.
Did Mr. Crumplar tell you how many other
suppliers that were allegedly supplied phenolic molding compounds to www.ww let me withdraw that
Were you shown any documents about who
plaintiffs claim were the suppliers of phenolic molding compounds to this facility or just told by
Mr.
Crumplar
A.
I can't remember if that was covered in
any of those documents or not
Q.
You reviewed -- you're familiar with a
that used to be called Durez now Occidental company
Chemical aren't you
A.
I've come across them in other cases
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Q.
Do you know they that manufactured
2
phenolic molding compounds too
3
A.
I believe I have heard that
4
Q.
Have you reviewed any documents that
5
relate to Durez and the phenolic molding compounds
fi 7 8 9
they made
A.
I just can't remember whether I've seen
any documents on Durez or not
Q.
What about the Rogers Corporation are you
10
familiar with them
11
A.
No.
I think they came up in our
12
conversation last night as another supplier of a
13
resin but I don't know anything about the company
14
Q.
Were you told that Rogers and Durez
15
occasionally made crocidolite phenolic
16
molding compounds
17
A.
I've heard that there's a possibility that
18
crocidolite was used in the Durez material
I don't
19
recall that as to Rogers
And I don't know the
20
extent to which any of that can be confirmed
21
Q.
Have you ever read anything about the
22
mesothelioma experience arising out of the Durez
23
manufacturing facilities
24
A.
No I haven't
I'd be happy to see that
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if you know
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2
Q.
That's not something that you've come
3
across in your research
4
A.
I may have seen something but I just
5
don't recall at this time if I have
>
Q.
For the Reichhold internal documents that
7
you reviewed you have those with you today
8
A.
I do
9
Q.
How many Reichhold internal documents were
10
you given last night
11
A.
Only a few
12
Q.
Can you tell me how many
13
A.
It looks like -- one of the things that's
14
being counted as a Reichhold document is an excerpt
15
from Chemical Week magazine But we're talking
16
about oh about ten documents all told
17
Q.
Why would -- was it represented to you
18
that excerpts from Chemical Week magazine were found
19
in the files of Reichhold
20
A.
No. But they're specific in the
21
sense that Reichhold had a paid advertisement in the
22
same issue of the magazine so that's -- that puts it
23
in the class of corporate knowledge documents
24
Q.
Based on your theory that if you took an
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acquire 1
ad out in a magazine that you immediately
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2
knowledge of whatever magazine the ad was published
3
in
4
A.
Well that means you probably read the
5
magazine yes
fi
Q.
What's that based on Have you got any
7
type of study or documentation --
8
A.
No.
9
Q.
I've got an ad out in a couple of
10
newspapers for a car I'm trying to sell
Does that
11
mean I read that newspaper every single day front to
12
back to see what else is in there
13
A.
Not necessarily but I think you'd
14
probably want to make sure that your ad is in that
15
paper when you pay for it and that the information as
16
to how to contact you and all that's been properly
17
recorded in the ad
18
Q.
To get to that you think I need to read
19
every article in the paper to make sure my --
20
A.
No. But you selling a product in
21
classified ad in a newspaper isn't the same thing as
22
a corporation broadcasting its presence in a trade
23
magazine to members of the industry of which it is a
24
part
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Q.
Do you have
Page 21
any evidence that this trade
2
magazine was found among the files of
Reichhold that
3 it even had a copy of the magazine in which its ad
4
was published
5 6 7 8 9 10 11 12 13 14 15 16 17 18 19
A.
Chemical
No but I can't picture them not reading
Week magazine When I worked in the
chemical industry in 1968 and 1969 as a junior
engineer I received regularly I think Chemical
Week and Chemical and Engineering News being
circulated among the young engineers
just by way of knowing about news in
in the company the chemical
industry what new products were coming along what kinds of things were happening in the industry
These magazines were well known to me
Later on I would become a subscriber to Chemical Week
magazine when I worked in the field of chemical
hazards and toxic substances control
MR MCCAULEY
responsiveness
Object to the
20
BY MR MCCAULEY
21 Q. Which Chemical Week magazine excerpts are
22
you referring to
23
A.
Well the September 19 -- September 10
24 1966 issue of the magazine talks about cancer hazard
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from asbestos and possible resulting increased market
2
opportunities for chemical companies And there's an
3
article called Asbestos Awaiting Trial
4
Q.
You think everything in that article's
5
true
>
A.
I don't know if it is or not
But the
7
issue is notice not the truth of the matters
8
contained in this or any other article I discuss when
9
I testify
10
Q.
That article states that quote Recent
11
studies have convinced US Public Health Service
12
specialists and other medical authorities that about
13
40 percent of all Americans have mild chronic cases
14
of asbestosis even though most of them never worked
15
directly with asbestos end of quote
16
Do you see that statement
17
A.
I do
18
Q.
That's not true is it
19
A.
No.
It's an incorrect inference based on
20
the presence of asbestos bodies in the lungs of urban
21
dwellers at autopsy
22
Q.
And it also says quote The
23
inferences
While the average asbestos worker is
24
well protected the man on the street is not end of
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Page 23 Page 23
Right
A.
That's what it says
Q.
You would agree with that right that in
1966 the average asbestos worker was well protected
right You ascribe to that
A.
No.
Q.
So that's not -- for whatever that's
worth it's certainly not an accurate statement of
the science at that time is it
A.
Well we're not talking so much about
science as the practice in American industry And the practice in American industry was not to provide -- was not to assure that the average asbestos worker was well protected
There was no government regulation at
the time this was published
There was no OSHA
There was no Environmental Protection Agency
There
was no Consumer Product Safety Commission
These
agencies had not yet been created by acts of
Congress
And so it would be --
Q.
There were --
A.
-- incorrect
Q.
In various states there were laws
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24
threshold 1
requiring that industry comply with various
2
limit values for different substances correct
3
A.
Well the TLVs were cited as good practice
4
guidelines that industry should try to comply with
5
But there was no enforcement
6
MR MCCAULEY Object to the
7
responsiveness
8
BY MR MCCAULEY
9
Q.
My question was in various states there
10
were laws requiring that employers limit exposures to
11
various substances according to threshold limit
12 13 14 15 16 17 18 19 20 21
22 23 24
values or TLVS right
A.
Well the TLVs were cited as guidelines
They were -- these laws you're referring to very often didn't include any section on penalties didn't authorize the government inspectors to do unannounced inspections and confirm any compliance with these
exposure limits Of
course
many of
the
states
in which
these codes existed did not have laboratories
government laboratories established that were capable of doing air sampling and analysis for the
hundreds of substances that were on the TLV list So you know while the TLVS may have
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MR. MCCAULEY :
responsiveness.
responsiveness responsiveness responsiveness
Object to
Miler
Pome
M
cor xy gy Mukerer Mukerer
ey
Sa
A. No don't know.
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Barry Castleman
Q.
And you would expect them to have
Page 26 Page 26
knowledge of the health and safety laws of any state
in which they employed workers correct
A.
One would think that at least that the
presence of these codes or laws as you call them
would serve as notice to employers such as Square D
about recognized hazards in their own workplace
Q.
I mean in terms of your opinions about
what companies knew or should have known about the
hazards of asbestos are you in any way excepting
Square D from that and saying they're the one manufacturing company that did not have access to the information that everybody else had access to
A.
Of course not
Q.
You've testified about other electrical
equipment manufacturers in the past have you not such as Westinghouse and General Electric
A.
Yes I have
Q.
And you testified that companies like that
have reason to know about health hazards of asbestos
from back in the 1930s right
A.
Well that's based on corporate documents
that have been produced about Westinghouse and General Electric showing knowledge about the hazards
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1
of asbestos going back to the 1930s and the 1940s
2
yes
3
Q.
Do you know whether Square D. -- you
4
certainly agree with me Square D was in the same
UT
segment of the industry as Westinghouse and General
6
Electric right electrical equipment manufacturer
7
MR CRUMPLAR
I would object to the
8
word segment
9
BY MR MCCAULEY
10
Q.
Square D was an electrical equipment
11
manufacturer as were General Electric and
12
Westinghouse right
13
A.
Well I don't know how similar they were
14
But they all made electrical equipment Obviously
15
the other companies Westinghouse and GE were much
16
bigger than Square D.
17
Q.
Well
do you know in terms of
-
you
18
haven't done any market analysis You're just saying
19
that those are sort of bigger names better
20
names than Square D right
21
A.
Right And again I would say sight
22
unseen without having checked the figures that
23
they're much more than ten times the size of Square D
24
by the usual measures that one might take of
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1
businesses such as annual sales or whatever else you
2
want to count
3
Q.
Do you know whether there were segments of
4
the electrical equipment industry in which Square D.
5
had a bigger market share than General Electric or
6
Westinghouse
7
A.
I don't know
I don't see how that
8 9 10 11 12 13 14 15 16 17 18
matters
Q.
Do you know what trade organizations
Square D was a member of
A.
No I don't
Q.
In the materials that you were given last
night were you given any Union Carbide documents
that mentioned Reichhold
A.
No I wasn't I don't think
Q.
From your prior work on in researching
companies that made or sold asbestos products you
reviewed a number of internal Union Carbide records
19
right
20
A.
I have
21
Q.
And you've cited - even in cases not
22
involving Union Carbide you've cited internal Union
23
Carbide documents for various purposes regarding what
24
people knew or should have known about hazards of
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businesses such as annual sales or whatever else you
2
want to count
3 Q. Do you know whether there were segments of
4 the electrical equipment industry in which Square D
5
had a bigger market share than General Electric or
fi Westinghouse
7
A.
I don't know
I don't see how that
00 9 10 11 12 13 14 15 16 17 18
matters
Q.
Do you know what trade organizations
Square D was a member of
A.
No I don't
Q. In the materials that you were given last night were you given any Union Carbide documents
that mentioned Reichhold
A.
No I wasn't I don't think
Q.
From your prior work on in researching
companies that made or sold asbestos products you
reviewed a number of internal Union Carbide records
19 20 21 22 23 24
right
A.
I have
Q.
And you've cited -- even in cases not
involving Union Carbide you've cited internal Union
Carbide documents for various purposes regarding what
people knew or should have known about hazards of
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asbestos right
Page 29 Page 29
2
A.
Right
3
Q.
And you've cited some specific Union
4
Carbide documents in your book correct
5
A.
I have
6
Q.
And you weren't shown any documents from
7
Union Carbide that discuss Reichhold and its policies
8
with respect to asbestos
9
A.
I don't think so
I just don't recall
10
seeing such documents
11
Q.
And if Union Carbide made various
12
statements about Reichhold specific to its policies
13
and procedures regarding asbestos that's not
14
something you think might be helpful to you in
15
forming your opinions in this case
16
A.
Well it might be And I welcome those
17
documents
If you care to provide them to me I'd
18
like to see them
19
Q.
You weren't provided those by the people
20
who retained you in the case right
21
A.
Right
22
Q.
I was provided with an excerpt from a New
23
York Times article -- I'm sorry - an excerpt from
24
The New York Times newspaper I guess from 1954.
Is
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1
that something that you reviewed and relied upon in
2
this case
3
A.
Not specifically in this case But there
4
are lots of newspaper articles that I have
5
accumulated
I have a file called -- well I think
6
it's called newspapers And there was a great deal
7
in that period in The New York Times over the years
00
about asbestos and the causing properties of
fi 10
asbestos going back to 1948
Q.
Can you tell me how the September 16 1954
11
excerpt from The New York Times is relevant to your
12
opinions in this case I just don't see anything in
13
it about asbestos That's why I'm asking
14
A.
I don't know what it's doing in the case
15
then if it's not talking about asbestos The one I
16
was thinking about was October 7th 1964 that talked
17
about mesothelioma and an upcoming conference that
18
Selikoff was organizing in New York
19
Q.
I mean it's possible that I could have
20
missed the relevance of it
But it's the
21
September 16th 1954 New York Times And it's not
22
the whole thing just a couple of excerpts
23
I do see that it says that -- there's
24
a little blurb that says New Reichhold plant to
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1
open and it says that Reichhold -- spelled wrong --
2
Chemicals Inc. announced yesterday that its new
3
formaldehyde installation at the Charlotte
4
North Carolina plant will be in operation by
5
October 15th
6
A.
Oh I think that was from 1935.
And it --
7
it was shown to me because it was in 1935 that
8
asbestosis was made a compensable occupational
9
disease in North Carolina
10
Q.
So that document about the North Carolina
11
workers comp statute that was shown to you last
12
night as well
13
A.
Yes it was
14
Q.
And is that something you read and relied
15
upon for your opinions in this case
16
A.
Yeah I think it's additionally you
17
know relevant to the issue of whether Reichhold knew
18
or should have known about the hazards of asbestos
19
back in the 1930s
20
Q.
Well assume that it opens this plant in
21
North Carolina in 1954.
Do you have any information
22
that this formaldehyde installation had
23
anything to do with asbestos
24
A.
No I don't
I mean it may have used
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Barry Castleman
asbestos insulation
It may not have
You
know
Page 32
Page 32
if
that's -- if the date is 1954 yeah the connection
is certainly not terribly strong
Q.
So if they opened a plant in 1954 that
made formaldehyde and didn't use asbestos in that
process at all is it your belief that they
nonetheless should have been aware of every
occupational disease that the North Carolina industrial commission recognized --
A.
No.
Q.
- in 1954
A.
No not necessarily
Q.
Would you think the same thing about
Square D opening a plant in any particular state that it should know about what the compensable
industrial diseases are in those states
A.
One would think that you know they
somebody in the company should have been paying
attention to that
I mean these things do have
bottom implications in terms of insurance
charges and liability potential liabilities
Q.
Do you know when or if Iowa ever made
asbestosis a compensable disease
A.
I can't recall having seen anything about
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Page 33
Page
the workers
many states
comp laws in Iowa as to asbestosis
no schedule or list
the -- there was
In of
the compensable diseases It was simply left open
could establish that a that if medical evidence
was an occupational disease
disease
that the person
was
any the
eligible for workers explicit inclusion of
law itself in such a
comp So you wouldn't
asbestosis in the text state Like California
see
of
was
33|
9
like that
Carolina was a state that had a
10
Q.
North
from back in the 1920s textile industry
11 significant
12 13 14 15 16
17 18 19 20 21
and 30s right
A.
I think so
--
had a number of dust diseases
Q.
And they
became associated with
a number of dust diseases
those textile industries right
A.
Eventually yes
Q. And this National Safety News -~- what you
were
from
last night was a National Safety News
provided
which has an article in it titled May of 1935
Made Compensable in NC Occupational Diseases
Right
22
A.
Yes
23
advanced in its
North Carolina was pretty
24
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1
industrial hygiene department was it not One of
2
the first states to have a state industrial hygiene
3
department wasn't it
4
A.
I'm just trying to confirm that they had
5
an industrial hygiene department I'm looking for
6
that in the article
7
Q.
Well let me rephrase the question
8
The article says quote The state of
9
North Carolina by the action of its legislature on
10
March 26th became the 12th state in the union to
11
adopt an amendment to its workers compensation law
12
so that it would now include occupational diseases as
13
well as accidents as compensable disabilities end
14
quote correct
15
A.
That's what it says yes
16
Q.
So according to the article it's the 12th
17
state to add occupational diseases to its law right
18
as being compensable
19
A.
Right
20
Q.
And the article states that -- it quotes
21
T.A. Wilson of the State Industrial Commission
So
22
that would give you an indication that it had an
23
industrial commission at least in 1935 right
24
A.
Well every state had an industrial
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1
commission If they had a workers compensation law
2
these laws were usually administered by government
3
agencies with names like the State Industrial
4
Commission
5
Q.
And this says that the new law provides
6
for a medical committee to examine prospective and
7
present employees in two dust industries silica and
8
asbestos right
9
A.
Right
10
Q.
And it says that quote It provides for
11
the removal of employees in the early stages of
12
disease and that vocational training shall be
13
provided for those who are removed end of quote
14
correct
15
A.
Yes
16
Q.
That was a common approach to dealing with
17
asbestosis in the 1930s was removing the worker from
18
the area where he or she was being exposed to
19
asbestos with the notion that that would stop the --
20
any further worsening of the disease right
21
A.
I don't know about that
I mean this was
22
something that was discussed in the literature You
23
know different doctors writing articles about
24
asbestosis would sometimes comment on the question of
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1
removal of the worker who had already some signs of
2
the disease
3
Most of the medical reports didn't say
4
anything about that In some of the reports they
5
talked about progression after the removal of the
6
worker
In other cases they talked about the lack
7
of evidence for progression in the particular study
8
that was being published at the time
9
You know different - but in terms
10
of MAN your question the reason I'm having to give
11
you a long answer is your question is asking me about
12
what the standard practice was in industry at the
13
time And the standard practice in industry is not
14
so easily discerned from reading a few medical
15
reports published by doctors who might or might not
16
have had much acquaintance with what industry was
17
actually doing in dealing with these kinds of issues
18
There was no government regulation in
19
most states
What North Carolina was doing was
20
probably exceptional in providing medical
21
examinations of workers in these particular
22
industries and providing for the removal of the
23
workers with early stages of a disease
But that was
24
not I wouldn't think widespread practice in the
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United States in the 1930s
Page 37 Page 37
2
MR MCCAULEY Object to
3
responsiveness
4
BY MR MCCAULEY
5
Q.
You would agree with me that the article
6
that Mr. Crumplar gave you last night says that the
7
new North Carolina law provides for a medical
8
committee to examine prospective and present
9
employees in two dust industries silica and
10
asbestos and provides for the removal of employees
11
in the early stages of disease and vocational
12
training to be provided to those removed correct
13
A.
Right That's what it says
14
Q.
And it also says that the diseases listed
15
in the amendment as compensable are as follows and
16
there are 25 diseases listed right
17
A.
Right
18
Q.
And one of those No. 15 is infection or
19
inflammation of the skin or eyes or other external
20
contact surfaces of oral or nasal cavities due to
21
irritating oils cutting compounds chemical dusts
22
liquids fumes gases or vapors right
23
A.
That's No. 13 yes
24
Q.
I'm sorry
You're right
It's hard to
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2
And you would agree with me that there
3
are situations where chemical dust can be a serious
4
hazard to the skin and nasal passages if inhaled or
5
if someone comes in contact with them
6
A.
Sure if it's an irritating material
7
Q.
And then it lists as No. 24 asbestosis
8
correct
fi
A.
It does
10
Q.
And 25 is silicosis right
11
A.
Right
12
Q.
Do you know whether byssinosis was also a
13
related disease that was of concern to the North
14
Carolina industries back at this time
15
A.
I think there may have been some concern
16
about it but it doesn't appear to have been manifest
17
in any kind of workers compensation law as of 1935
18
That apparently came later
19
Q.
Did you review Mr. Madden's testimony
20
about Reichhold's use of warnings on phenolic molding
21
compounds?
22
A.
I think I saw some excerpts of the
23
testimony to the effect that there appear to have
24
been I think warnings in 1980 1979
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Page 39
Page 39
Q.
I believe you mentioned the Chemical
Manufacturers Association right
A.
Well I don't know if I have
But I'm
well aware of who they were
Q.
And they had a -- they put out a book on
warnings right
A.
They did
Q.
And they had a committee that dealt with
warnings and precautionary instructions right
A.
Well they did back in the 1940s when they
put out that guideline we were referring to
Q.
Well do you know whether they updated
continued to update that guideline through the 60s
and 70s
A.
I don't know to what extent there was any
kind of an effort to continuously update that It
may have been done on an ad hoc basis in subsequent
years
That wouldn't surprise me if it was
Q.
Do you know whether there were states that
adopted the Chemical Manufacturers Association
warning label as their state law with respect to
warnings
A.
Q.
No I don't I think you told me this earlier
Let me
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check off a couple questions
Page 40 Page 40
2
You don't know of the phenolic molding
3
compound formulations that Reichhold had from 1965 to
4
1981 you don't know how many of those formulations
5
involved asbestos right
6
A.
That's correct
7
Q.
And for the ones that did involve or use
8
asbestos you don't know -- other than the statement
9
in the material safety data sheet that some may have
10
contained up to 51 percent you don't know the
11
percentages that the various formulations may have
12
contained right
13
A.
That's correct
14
Q.
And would you agree with me that the
15
potential for exposure to asbestos from a product
16
will vary or may vary according to the asbestos
17
content of the product in other words a hundred
18
percent would present more of an opportunity for
19
exposure than 1 percent
20
A.
Yes
In the case of these products I
21
would say that one would expect there would be some
22
kind of a monotone increasing functional relationship
23
between the percent of asbestos in the product and
24
the exposures you get from doing the exact same
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things with the products having different
Page 41 Page 41
compositions of
Q.
Have
asbestos content
reviewed any documentation
you
that
you believe relates to
molding compounds that
the ability of any phenolic
release asbestos as it's used
fi in the molding process
7 A. I haven't seen any reports of air sampling
to asbestos from such
8
and analysis or exposures
9 10 11 12 13 14
15 16 17 18 19 20
21
activities
And I did not mean to limit that to Q.
Reichhold I mean any type of phenolic molding
compounds
A.
~~
Does your
I took your question in the manner you
intended it when I answered it yes Q. Have you reviewed any materials that you
believe relate to the manner in which the Reichhold was manufactured at the
phenolic molding compound
Reichhold facility A. I mean nothing besides those corporate
documents that are in evidence in this case that
have been presented as part of my deposition
22
material
identify for me the
23
Q.
Are there -- can you
have that you believe
24
corporate documents that you
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Page 42
Page 42 relate to the method by which the Reichhold phenolic
molding compound was manufactured in the Reichhold
facility
A.
No.
I don't recall there being a whole
lot about that in these documents but let me look at
them real quickly
Most of these documents relate to the
OSHA regulations and their potential application in
the Reichhold plant
So they indicate that the
process -- let's see
They talk about specific areas for
example where the employees should be required to
wear respirators And they list four activities
there
This is in the March 28 1973 memorandum to
Jansen A
So you know there are activities
like that that are sort of alluded to in the context
of OSHA compliance in that memorandum Do you want
me to go into it in any more detail
I mean you can
see what the document says
Q.
Right I'm trying to figure out
whether -- that's a 1973 document
I'm trying to
figure out whether you have any documents that you
believe describe to you the manner in which the
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1
Reichhold product was manufactured as opposed to you
2
know precautions taken in the facility by certain
3
people
4
A.
No. I don't think I actually have
5
anything or have been shown anything that provides in
6
any detail the process the chemical process the
7
manufacturer used in the Reichhold plant where the
00
resins were made
fi
Q.
Do you know the difference between resin
10
and phenolic molding compound
11
A.
I'm not - no I don't
I mean -- there's
12
a lot of technical jargon in the chemical industry
13
and I'm not familiar with some of it that's for
14
sure
15
Q.
Have you ever made any effort to compare
16
the phenolic molding compound manufactured by
17
Reichhold with any type of phenolic molding compound
18
manufactured by any of its competitors such as Durez
19
or Rogers
20
A.
No.
I mean generally this kind of
21
material is not -- not ever issued in any kind of
22
published documents at least not in a complete way
23
It might have emerged in the course of litigation
24
but I haven't seen documents that might offer the
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kind of comparison your question calls for
Page 44 Page 44
2
Q.
Now the March 28th 1978 -- I'm sorry
3
The March 28th 1973 letter has the
4
subject quote Use of asbestos in polyesters end of
5
quote correct
fi
A.
Yes
Right
That's the subject heading
7
for the memo
8
Q.
And the second paragraph of this -- and
9
you understand this memo to be from a gentleman named
10
Tom Madden
11
A.
Yes
Or T.R. Madden
12
Q.
The second paragraph says quote This
13
memo summarizes the health and safety requirements
14
contained in Regulation 1910.93 of the
15
Occupational Safety and Health Administration OSHA
16
of the US Department of Labor copy attached.
17
Correct
18
A.
That's what the second paragraph says
19
Q.
And you believe this would show an
20
awareness by Reichhold of the OSHA asbestos
21
regulations as of March 28th 1973 correct
22
A.
Yes
23
Q.
And you've certainly seen other companies
24
that were involved in manufacturing
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1
containing products that professed ignorance
2
of the OSHA regulations with respect to asbestos in
3
the 1970s Companies have said We didn't know
4
anything about that right
5
A.
Sure
I mean in the course of asbestos
fi litigation one encounters all kinds of companies
7
But most of the companies that were using asbestos as
8
a raw material in their industrial processes do
9
acknowledge that they were aware of the OSHA
10
standards when they came out
11
Q.
Your opinion would be that if somebody's
12
using asbestos in the manufacturing process they
13
needed to be aware of the OSHA regulations right
14
A.
Right I can't imagine any but the
15
smallest employers not being aware of that -- talking
16
about companies that are using asbestos in their
17
industrial processes as a raw material to manufacture
18
other products
19
Q.
Do you have any problem with Mr. Madden's
20
statement of what the OSHA regulations require
21
A.
Well I haven't looked at the letter -w H
22
haven't looked at the memo with the the page
23
memo for the purpose of you know seeing if there's
24
anything in it that's incorrect
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kind of
comparison your question calls for
Page 44
2 Q. Now the March 28th 1978 -- I'm sorry
3
The March 28th 1973 letter has the
4
subject quote Use of
asbestos in polyesters end of
5
quote correct
60
A.
Yes Right That's the
subject heading
7
for the memo
8
Q.
And the second
paragraph of this - and
9
you understand this
memo to be from a gentleman named
10
Tom Madden
11 12 13 14 15 16 17 18 19 20 21 22
A.
Yes
Or T.R. Madden
Q. The second paragraph says
memo summarizes the health and safety contained in Regulation 1910.93 of
quote This
requirements
the
Occupational Safety and of the US Department of
Health Administration
Labor copy attached
OSHA
Correct
A.
That's what the second
paragraph says
Q. And you believe this would show an
awareness by Reichhold of the OSHA asbestos
regulations as of March 28th 1973 correct
A.
Yes
23
Q.
And you've
certainly seen other companies
24
that were involved in
manufacturing
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But you know overall it seems to
2
be -- you know it seemed to be correct
Like I say
3
it's a page memorandum
But it appears from at
4
least what I looked at you know without looking at
5
it extremely carefully overall it looks like -- it
6
appears correct
I don't see statements in it that
7
are clearly incorrect
8
Q.
This says that it's from White Plains
Do
9
you know what White Plains was
10
A.
I think that was the Reichhold corporate
11
headquarters at the time of the date
But it may not
12
have been
I don't know
13
Q.
And what -- do you understand this to be
14
Mr. Madden saying from headquarters to Mr. Jansen
15
that if you want to evaluate the use of asbestos in
16
your facility here are all the things that you need
17
to do
18
A.
Well I don't know that he's saying that
19
But he's talking about the safeguards that the
20
regulations the OSHA regulations require and is
21
interpreting them as they would apply to the
22
Reichhold facility
23
Q.
Do you know in what Reichhold facility
24
they manufactured phenolic molding compounds
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MR CRUMPLAR Are you talking about
1
2 the containing phenolic molding compounds
MR MCCAULEY Any - if that's an
3
4
objection feel free
MR CRUMPLAR I was just trying to
UT
including in that that's
6
talk about what you were
7
all
8
BY MR MCCAULEY
9 Q. Dr. Castleman do you have any information
10 that Reichhold manufactured containing
somewhere different than
11 phenolic molding compounds
asbestos phenolic molding
12
where it manufactured
13 14 15 16 17 18
19 20 21 22 23
24
compound
A.
I just don't know
And I don't know the
locations of the plant or plants where the products
were made by Reichhold
that one of the suppliers to
Q.
Are you aware
Reichhold of asbestos was Union Carbide
have mentioned that to me
A.
Mr. Crumplar may
yesterday
Q.
I'm not sure
But he didn't show you any Union Carbide
documents discussing Reichhold right
A.
I don't think so no
I see a couple of documents titled R -
Q.
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looks RCI Cost Standard do you have those
Page 48 Page 48
A.
I saw that they're in here somewhere
Can
you describe them further
Q.
Sure
It sort of a recipe card that has a
formulation date at the top
Then it has a table and
has a bunch of substances listed and then it has the
amount next to them
It's not text
It's just sort
of a chart
A.
Oh I think I have seen that
I don't
know if it's among the -- oh yeah yeah yeah This
is not the material safety data sheet This is
something else right
Q.
Right It's something that you might
think of as like a --
A.
I think Mr. Crumplar showed me that
And
I looked at it and said I didn't think it was
particularly useful It appears to have been some
kind of a formula of different elements different
materials that were used in some composition of some
molding product by Reichhold some recipe
Q.
You were shown one or two of those
A.
Yeah
It was kind of a tabular
presentation And I thought well I don't see
the -- you know I don't see the usefulness of this
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Q.
You weren't trying to come up with any
2
opinions about how prevalent the containing
3
formulations were among the Reichhold phenolic
4
molding compound product line is that fair to say
5
A.
Well certainly that document was
6
certainly of no help in answering that kind of
7
question
8
Q.
If the majority of the containing
9
formulations contained less than 5 percent asbestos
10
that wouldn't change your opinions in the case in any
11
way would it
12
A.
I don't think so
I didn't see any
13
indication that they were making products with such a
14
small asbestos content as that
15
Q.
Right
You weren't shown those
16
formulations but you don't have an opinion about
17
what the range of asbestos content was in the
18
different formulations right That's just not your
19
area of testimony
20
A.
Well that's right
21
Q.
But it might make a difference just in
22
terms of potential for exposure if most of them
23
contained you know less than 5 percent as opposed
24
to 52 percent right
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A.
Well it would make a difference in terms
of potential for exposure But again I haven't seen any measurements of what kind of exposure people get any kind of analyses and reports devoted to the
subject of measuring the exposure
Q.
Now
-
you were
I was produced
I believe
these came in last night some documents from The
Hartford
I'm looking at a document from The
Hartford dated August 18th 1981 to Mr. Raymond
Clark technical director of Reichhold Chemicals at
Carteret A New Jersey
A.
Yes
Q.
From Warren Townes the industrial
hygienist
A.
Right
I think that's -- right
That's
the author's name the name of the author of this
letter
Q.
And this says reading This report will
confirm my visit to your plant for the purpose of
determining the airborne concentration of asbestos to
the personnel working in the molding compound
department
Correct
A.
Right So apparently the plant was in
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[- 1
2 3 4 50 10
7 8 9 10 11 12
using
would
Q. 350 you
A.
Q.
And
Barry Castleman
then for Line D it
says
8,000
Page 52 Page 52
pounds
pounds and
assume that
it's sort of cut
350 pounds means
off
But
asbestos
Yes
That's the way it seems to read
Now you know I don't like to do math but
350 is of 8,000
do you know what percentage
A.
Well it's a little over 4 percent
Q.
It's less than 5 percent
A.
Right Slightly under 5 percent
Q. So if they were making a commercial batch
of product with Line D it would appear that it's got
less than 5 percent of asbestos in it right
13 14 15 16 17 18
19 20 21 22
A.
Yes
that it sure is a
Q.
And it also would appear
lot less than what's running on A B and C. A B
and C all are running 35,000 pounds and Line D is
only
8,000
A.
pounds Any idea why No. It's just one eight
shift
They
might have simply had more orders for a certain
product knowing
that week or that day
how representative the
I have no
production
way of of that
shift is of what they were making that
eight
one
23
month or that year
documentation about the
24
Q.
Have you seen any
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Barry Castleman
Page 51 Page 51
Q.
And you've seen other examples of
insurance companies going into facilities that used
containing products and doing tests there
A.
Right
Q.
Is this the only Hartford test report that
you were given by Mr. Crumplar
A.
It is
Q.
And what's the significance of this to
your opinions in this case if any
A.
It shows that the company was still using
asbestos in some of its residences as of August of
1981 - or June I guess of 1981 the time of the
sampling
Q.
So did you review -- have you reviewed any
of Mr. Madden's testimony about this document
A.
No.
Q.
It says that ww pounds of products
produced during an eight shift And it says
Line A 35,000 pounds no asbestos Line B
35,000 pounds no asbestos Line C 35,000 pounds
no asbestos
Right
A.
Right
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Q.
And then for Line D it says 8,000 pounds
using 350 pounds and it's sort of cut off But
would you assume that 350 pounds means asbestos
A.
Yes
That's the way it seems to read
Q.
Now you know I don't like to do math but
do you know what percentage 350 is of 8,000
A.
Well it's a little over 4 percent
Q.
It's less than 5 percent
A.
Right Slightly under 5 percent
Q.
So if they were making a commercial batch
of product with Line D it would appear that it's got
less than 5 percent of asbestos in it right
A.
Yes
Q.
And it also would appear that it sure is a
lot less than what's running on A B and C. A B and C all are running 35,000 pounds and Line D is
only 8,000 pounds Any idea why
A.
No. It's just one eight shift They
might have simply had more orders for a certain
product that week or that day
I have no way of
knowing how representative the production of that one
eight shift is of what they were making that
month or that year
Q.
Have you seen any documentation about the
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1
Reichhold customer demand for containing
2
phenolic molding compounds Have you seen any
3
documents that relate to that topic at all
4
A.
I don't think I have
5
Q.
Would you agree if you have any specific
> opinions regarding Reichhold that you formed those
7
opinions since - last night or since last night
8
A.
Well to the extent I've been shown
9
corporate documents that shows Reichhold was an
10
advertiser in the September 10th issue 1966 of
11
Chemical Week and to the extent that I've been shown
12
the corporate documents which you have from 1971 to
13
1981 these documents do support additional opinions
14
as to Reichhold and asbestos
15
Q.
And what additional opinions did you form
16
when you saw these documents last night
17
A.
Well they confirm that Reichhold had
18
actual knowledge through Chemical Week magazine about
19
the hazards of asbestos in 1966 that Reichhold had a
20
rather complete understanding of the federal
21
regulations on asbestos in the case of the emergency
22
standard within weeks of the time that the emergency
23
temporary standard on asbestos was published by OSHA
24
in December of 1971 and that the company had
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1
additionally by 1973 more detailed information
Page 54 Page 54
2
documented here -- probably had the information
3
before that - but documented in March of 1973 about
4
the application of the OSHA regulations in their
5
manufacturing plant where they were making asbestos
6
in these various resins -- using asbestos in these
7
various resins And let's see if there's anything
8
further
9
Again there's just additional
10
documents showing a familiarity with the requirements
11
of the OSHA rules requirements for such things as
12
periodic air sampling requirements for periodic
13
medical examinations requirements for the bagging of
14
waste and for the use of respirators for workers who
15
are doing certain jobs in the plant
16
And so that the documentation it
17
seems to me begs the question Were these things
18
actually being done Because one doesn't have
19
documentation memos and so forth where you know
20
these activities are actually being carried out
21
There's no memos reflecting that
But in any case
22
it shows an awareness of the regulations and their
23
application at the Reichhold plant
24
Q.
So whether Reichhold was actually
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with the OSHA regulations in its own complying
would be an employer using
facilities your opinion
in its manufacturing process was obligated
asbestos
as of the temporary
to comply with OSHA regulations
emergency standard in 1971 A. Yes and that Reichhold was aware of this
to be aware of it by
Q.
They were required
law right Whether they were or not they were
required to be aware of it correct
of the law is no
A.
That's right Ignorance
for not complying with the law
excuse
D had more than ten
Q.
Assuming that Square
employees in 1971 they were required to be aware of
the federal OSHA standard as well correct
15
A.
Right
were required to comply with it
16
Q.
And they
17 18 19 20 21
22 23
just
as Reichhold was
A.
I think so
correct
Again they needed to know
that there was asbestos in the product they were
handling in order to be reasonably be expected to
comply with information
it They
about the
may or
resins
may not have had that
that they were handling
Discussion held off the record
24 Recess )
|
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BY MR MCCAULEY
Page 56 Page 56
2
Q.
If you assume for me that there's
3
testimony - that there was testimony that in the
4
Square D facility that the use of phenolic molding
5
compounds in general created visible dust your
6
opinion would be that Square D had the obligation to
7
figure out what was in the visible dust correct
8
A.
Well I don't know if they had a legal
9
obligation to do that But they certainly had a
10
moral obligation to know what they were exposing
11
their workers to in terms of the potential health
12
security hazard from the raw materials they were
13
processing there
14
Q.
Right
I mean the visible dust from
15
phenolic molding compounds might cause problems other
16
than lung disease right
17
A.
Right There might be other agents in
18
that dust that would be of concern other than
19
asbestos
20
Q.
For example you're aware that there
21
are
--
that phenol
O
and formaldehyde
22
which I can't spell are substances that can create
23
problems not related to asbestos disease right
24
A.
Right
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Q.
I mean they may be necessary chemicals
2
but they can also be dangerous chemicals right
3
A.
Right
4
Q.
If you assume for me that the testimony in
5
the case is that Reichhold sent a material safety
6
data sheet to customers who purchased
7
containing phenolic molding compounds you
8
would consider that a responsible thing for a company
9
to do correct
10
MR CRUMPLAR
What's the date that
11
they sent this material
12
BY MR MCCAULEY
13
Q.
Well at any time they did it it was a
14
responsible thing to do when they did it right
15
A.
Not necessarily That's why I would want
16
know when they did it and what the data sheet said
17
Material safety data sheets are sometimes I guess
18
the polite word is incomplete as to the disclosure of
19
the hazards of the materials involved
So just the
20
fact of having prepared an MSDS in and of itself
21
isn't an unqualified good thing
22
Q.
But you reviewed the material safety data
23
sheet provided to you in this case right
24
A.
Yes
I had looked at a material safety
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Barry Castleman data sheet that was provided me by Mr. Crumplar
Page 58 Page 58
Q.
And it certainly says that the product
contains asbestos right
A.
Yes it does
Q.
So whenever it was sent you would agree
with me that that's a responsible corporate act for a
company to send out a material safety data sheet
specifying what the ingredients of a product are
correct
A.
Yes especially if one of the ingredients
is up to 52 percent asbestos
Q.
And you would agree that putting the
worst scenario on there would also be a
inappropriate thing to do If the highest percentage of asbestos in any product was 52 percent you would want to put the highest and not the lowest
right
A.
Right
Q.
And the date on the one you review is
1/80 January 1 1980 or is it 3/80
A.
I looks like a yeah
So it's the
beginning of 1980
Q.
Okay
Do you know what Mr. Madden's
testimony is about when the first time was that
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Barry Castleman out a material safety
data
sheet
Page 59
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with
any containing or to customers for containing phenolic molding compounds
A.
No I don't know about that
Q.
And you would agree with me that one of
the things that this material safety data sheet does
is direct the recipient to the OSHA asbestos
standard Section 1910
A.
Just looking for that in here
I just don't see it on here
If you
can tell me what page it is that might help
Q.
Well it's -- first of all are you aware
that this is a form that was available for companies
to use material safety data sheet
A.
I suppose it was yes
Q. And it has various sections that have
headings in them like Section 2 Hazardous
18
Ingredients
19
A.
Yes
20 Q. And Section 3 I believe the typed
21
portion of it says See - refer to section --
--
22
asbestos 1910.1002 of the Occupational Safety
23 24
et cetera
Do you see now
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A.
Oh yes I do see that
Page 60 Page 60
2
Q.
Okay So if the recipient had never heard
3
of the OSHA standard if they look at this material
4
safety data sheet it tells them where to go look for
5
the federal OSHA standard correct
6
A.
Yes
7
Q.
And it would be your opinion that anyone
8
selling an containing phenolic molding
9
compound should have been providing information like
10
this to its customers
11
A.
At a minimum yes
I mean they should
12
have been putting warning labels on the product as
13
well
14
Q.
Are you aware of any evidence that any
15
other phenolic molding compound manufacturer ever put
16
a warning label on an containing phenolic
17
molding compound
18
A.
I don't know if they did or not
19
Q.
Are you aware that General Electric
20
manufactured phenolic molding compounds
21
A.
I'm not sure if I am
I understand that
22
they used materials you know in some of their
23
products But I didn't know if they manufactured
24
the you know the Bakelite or Micarta type of
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products themselves or not
Page 61 Page 61
Q.
Do you know the difference between a
phenolic molding compound and Micarta
A.
No. Again we're getting into -- well
we're getting into areas of specific product
formulation that go beyond my knowledge
Q.
Well you understand Micarta to have been
a final plastic product that someone might then use
as a mounting board or something like that correct
A.
Correct
Q.
Do you understand phenolic molding
compounds to be a raw material that someone must melt
and then form into some type of reinforced plastic product
A.
Yes
Q.
So they're at least different in the sense
that Micarta might be an end product and a phenolic
molding compound is an intermediate material
product Would you agree with that
A.
Fine
I understand what you're saying Okay
Q.
Micarta might have been made with phenol
and formaldehyde and things like that But as you've
seen it and testified about it it is an end product
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in and of itself correct
Page 62 Page 62
A.
Generally that's the way it comes up in
the litigation yes
Q.
You're not aware of any use that can be
put of a any use of a phenolic molding compound other than to melt it and mold it into something
right
A.
Well yeah I suppose that's the way it
works You know the technical jargon of this
particular industry is not known to me in any detail
as you can tell from questioning me
Q.
Now did you review Mr. Madden's testimony
about the first time that Reichhold put a warning
label on phenolic molding compounds
A.
No I haven't
Q.
Are you aware of -- other than potential
asbestos issues are you aware of any other potential
issues associated with dust that might be created by
any phenolic molding compound
A.
I may have seen something somewhere but I
can't recall anything about that
Q.
I mean do you know if it was a fire
hazard or an explosion hazard or any other reasons
you might not want to create dust with phenolic
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molding compounds
Page 63 Page 63
2
A.
Well generally you could have fire or
3
explosion hazards with dust if the concentrations
4
were high enough although it does depend to some
5
extent on the nature of the dust
6
Q.
Now you have been provided with warning
7
labels in this case that relate to synthetic resin
8
compounds and asbestos
9
A.
I don't think I have nothing besides a
10
manufacturing safety data sheet
11
Q.
You don't recall seeing warning labels
12
one that says Caution
Contains asbestos fibers
13
Avoid creating dust Breathing asbestos dust may
14
cause serious bodily harm
15
A.
Oh okay that appears -- I have no idea
16
what that's connected with the way it was handed to
17
me or when it was issued
18
Q.
And you didn't review Mr. Madden's
19
testimony about when and why Reichhold would use
20
various labels
21
A.
No I didn't
I don't recall seeing that
22
MR CRUMPLAR
He is not our warning
23
expert so
24
BY MR MCCAULEY
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1
Q.
And you're aware of -- I believe you told
2
us earlier that using warning labels was pretty
3
common in the chemical industry going back to the
4
time that they first put out a manual in the 40s is
5
that right
6
MR CRUMPLAR
I'm just going to
7
object to the term warning label when you have
00
something that says caution Not the same thing
9
But you can answer
10
THE WITNESS
Yeah
The use of such
11
labeling by the chemical industry obviously goes back
12
to the 1940s
The extent to which it was done it
13
seems to me would have been greater with respect to
14
immediate safety hazards like explosion or fire or
15
acute toxic exposures that would disable the worker
16
and potentially put the factory where the material
17
was used in danger the whole factory
18
So those kinds of hazards I think
19
got much more priority in the chemical industry
20
because the industry needed to take account of these
21
kinds of hazards just to function just to operate
22
and not blow itself up
23
But other kinds of hazard more
24
insidious delayed health hazards like
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Q.
And you're aware of -- I believe you told
us earlier that using warning labels was pretty
common in the chemical industry going back to the
time that they first put out a manual in the 40s is
that right
MR CRUMPLAR
I'm just going to
object to the term warning label when you have
something that says caution Not the same thing
But you can answer
THE WITNESS
Yeah
The use of such
labeling by the chemical industry obviously goes back
to the 1940s
The extent to which it was done it
seems to me would have been greater with respect to immediate safety hazards like explosion or fire or
acute toxic exposures that would disable the worker
and potentially put the factory where the material was used in danger the whole factory
So those kinds of hazards I think
got much more priority in the chemical industry because the industry needed to take account of these kinds of hazards just to function just to operate
and not blow itself up
But other kinds of hazard more
insidious delayed health hazards like
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1
product
So it was left to the sellers of the
Page 66 Page 66
2
product to make that determination and to label their
3
products accordingly
4
Q.
And you would agree that the exposures
5
that the employers were charged with regulating was
fi the cumulative exposure in the workplace not -- or
7
the aggregate exposure in the workplace not
8
exposures from one particular product Do you
9
understand that question
10
A.
Yeah
If there were multiple sources of
11
asbestos exposure in a factory for example the
12
factory was supposed to do air sampling to determine
13
what the worst situation was and take action
14
based on that
15
Q.
I also have produced to us as something
16
that you reviewed are a couple of versions of Science
17
Newsletter --
18
A.
Yes
19
Q.
-- the Weekly Summary of Current Science
20
A.
Yes
21
Q.
Is that something Mr. Crumplar gave you
22
last night
23
A.
Yes it is
24
Q.
And would you agree with me that because
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Barry Castleman Page 67
Page 67 this was a weekly summary type of publication that
sometimes things were published in here that did not
turn out to be correct once you had the benefit of
hindsight would you agree with that
A.
Well I don't have anything in mind when
you say that But that can always happen with the
publication of anything in any source
Q.
For example I'm looking at the
November 7th 1964 Science Newsletter
And I take it
that the pertinent part of that in your opinion
would be page 297 where under public health it says
quote Asbestos workers live longer but get cancer
is that right
A.
Well I think it's explained in the
article that you know the headline is elaborated
upon in a way that makes sense out of it
Because
obviously people don't live longer because they get
cancer
Q.
Well is the gist -- your understanding of
the gist of this being that once asbestos exposures were low enough that workers quit getting asbestosis they lived longer and had more of an opportunity to
also get cancer
A.
Well the idea is that the workers were
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1
not being wiped out by -- the article starts by
2
staying that workers used to die young of
3
tuberculosis or pneumonia and asbestosis So yeah
4
this is basically -- this is a British doctor
5
reporting about conditions over in the United Kingdom
6
at the big Selikoff conference in 1964 And he's
7
saying workers who have developed only moderate
00
degrees of asbestosis have survived long enough to
9
develop the associated bronchial carcinoma
10
So that makes more sense than the
11
headline does
12
Q.
Another speaker that they quoted is
13
Dr. J.C. A Wagner correct
14
A.
Yes
15
Q.
And does it report that - it appears to
16
be saying that Dr. Wagner has reported that
17
injections of major varieties of asbestos --
18
chrysotile crocidolite and amosite have apparently
19
caused mesotheliomas in the chest cavities of
20
animals
21
A.
Right
22
Q.
And he also reports that pleural
23
mesotheliomas have been the result of injections of
24
silica as well
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A.
That's correct
Q. Do you agree that silica causes
mesothelioma when injected to the pleura
A. I've never seen any reports that
said
that
So there might be a mistake here
There were
different types of -- well I don't think I don't
7
think that that's correct
00 Q. Sometimes these reporters just didn't get
9
the science quite correct did they
10 A. Sometimes that's right
in the next sentence they spell
11
Q.
In fact
12 13 14 15 16 17
18
asbestos wrong don't they
A.
Well typo Typos can always occur
Q. But somebody reading this in 1964 would see a citation that silica causes mesothelioma and
see
asbestos spelled wrong right
A. Yes Well asbestos is mentioned numerous
places It's just one place where it's spelled
19 20 21 22
wrong
Q. And the other Science Newsletter was one October 31st -- well I don't think we have
the
to
talk about this October 31st 1964 Science
23
Newsletter
24
A.
Right
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1
Q.
That's another -- is that something else
2
that you received from Mr. Crumplar last night
3
A.
Yes it is
4
Q.
And this says that Dr. W.J. Smither
UT
M of the Asbestos Research Council
> London revealed a definite increase in the occurrence
7
of lung cancer among workers in an East End asbestos
8
factory in London right
9
A.
I believe so
10
Q.
And this says that quote Asbestos dust
11
is also affecting the lungs of city dwellers
12
regardless of whether or not they are asbestos
13
workers
14
Correct
15
A.
Yes
16
Q.
And to support that it states reading
17
Autopsies of 500 persons over 15 years of age in
18
Cape Town and 500 more in Miami Florida showed
19
asbestos bodies in many lung smears
Asbestos bodies
20
are asbestos fibers coated with an containing
21
substance
22
Correct
23
A.
Yes
That's what it says
24
Q.
There wasn't any epidemic of asbestos
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disease among nonworkers in Miami was there
Page 71 Page 71
A.
No. And the article doesn't say that
Q.
Do you believe that there was an epidemic
of asbestos neoplasias associated with just
neighborhood or dwelling exposure
MR CRUMPLAR Objection
THE WITNESS No but we didn't know
that back then Back in 1963 Thompson had first
published his finding about the presence of asbestos
bodies in And there
the
was
lungs of urban
a concern that
dwellers at autopsy he expressed in his 1963
publication that this might ultimately lead to an
epidemic
of brake
of mesothelioma because of
lining materials that were
the huge tonnage
used in urban
areas around the world every year that had to be
replaced and that presumably created asbestos air
pollution
So this was a concern that was expressed
at the time in 1964
19
BY MR MCCAULEY
20 Q. And it did not turn out to be the case
21
that there was any epidemic of mesothelioma
22
associated with just these bystander exposures or
23
neighborhood exposures right
24 A. Well this was ambient urban type of
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exposures
And
Barry Castleman yeah it turned out within a
Page 72
Page 72
few
years that other reports would show that most of the
brake lining materials were decomposed into
fibrous decomposition products so that Thompson's
alarm proved to be greater than the basic you know pollution threat raised by the brake linings in
actual practice But that information wasn't
available yet in 1964
Q.
Do you know of any article in the
published scientific literature that suggests that
there are any hazards associated with asbestos
exposure from phenolic molding compounds
A.
Nothing occurs to mind Again there are
thousands of products in which asbestos was used
Most of them have never been subject to testing that
was ever published in the open scientific literature
The hazards are associated with the airborne
asbestos not with the particular product giving rise
to it
Q.
Would you agree with me that different
products have different potentials for releasing
asbestos when used
A.
Sure
Q.
Do you know when the first time was that
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1 the chemical -- Manufacturing Chemists Association
of warning labels for hazardous
2 guide for preparation
3 chemicals had a proposed warning label for
or asbestos
4 containing products
No I don't
I don't know if they ever
5
A.
65 did come up with a specific text for asbestos
certainly testified in the past
65
Q.
And you've
asbestos weren't necessarily
8
that sellers of raw
about their products to
9
forthcoming with information
10
their customers correct
11
A.
Yes
about the first time
12
Q.
What's your opinion
13 that Johns Manville put a warning on bags of
14 15 16 17 18
19 20 21 22
chrysotile asbestos
A. It would have been late 1968 or early
1969
based on
Q.
And
the
was
documentation
that true for
that I've seen all of their
containing products
A.
Just some
Well
or just some
that was the asbestos
sacks of
actually
Q.
asbestos The -- some of their products
had warnings a little earlier 1964
Do you know what asbestos floats are
23 A. Generally yes
24 Q. Short chrysotile
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1 A. Right They're kind of the shortest
2 3 4 5
> 7
priced
Q.
Do
asbestos fibers you know what range
the
fiber had
to be
in to be classified as an asbestos short or float A. No I don't recall those kinds of details
Q. Do you know when the first time was that
Union Carbide put any type of warning on bags of
8 9 10 11 12 13 14 15 16 17 18
Calidria
A.
I think they put some kind of a try not
to breathe the dust warning in 1968 without telling what would happen to you if you did breathe the
you
dust Union Carbide lawyers argued that that's a warning label I don't consider it a health warning
And I suppose starting in 1972 they started to use
the OSHA warning label
Q.
You're
report that Union
also familiar Carbide would
with the toxicology sometimes send out to
customers or potential customers
19 20 21 22 23 24
A.
Yes
with me that their
Q.
Would you agree
toxicology report really tried to emphasize the
distinction between their chrysotile Calidria and
crocidolite asbestos
A.
Well the -- yeah
The thing seems to
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1
have been prepared largely as a reaction to the 1964
2
Selikoff conference and the potential problems that
3
would follow from the standpoint of dealing with
4
customers And it generally kind of tended to
5
suggest that the recommended exposure limits of the
6
day were adequate to protect workers from the hazards
7
of asbestos dust
8
Q.
Would you agree that they - that in Union
9
Carbide's toxicology report they attempted to argue
10
that most studies relating to asbestos disease
11
related to crocidolite asbestos and not chrysotile
12
like they were selling
13
A.
Well I mean the document says what it
14
says
I don't recall exactly how it was stated
15
But you know it certainly was -~-- I think it was
16
something that was created to minimize the damage to
17
sales while at the same time not completely denying
18
the potential of asbestos to cause health problems
19
Q.
Would you agree that Union Carbide was
20
trying to persuade current and potential customers
21
that they could safely use Calidria in accordance
22
with the OSHA regulations
23
A.
Yes
24
Q.
Do you know whether Union Carbide ever
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called on
A.
Square D I don't
for any know if
reason
I've ever
seen
any
Page 76
76
Page
indication of that
D was involved in
Q.
Do you know if Square
the ingredients of phenolic molding specifying
compounds that it used
-- how that was worked
A. I don't know what
out between
Square D as
the between the supplier Reichhold and composition
to the specifications
and of
10 11 12 13 14
15 16 17 18 19
20 21 22
the resin
Q.
What
Rogers Plenco
about between Square
General Electric or
D and Durez any of the other
molding compounds suppliers of phenolic
I don't know
A.
Same answer
whether any of Square D's
Q.
Do you know
D what they wanted the
customers specified to Square
to contain
end plastic products
the products that
Square D
A.
was actually
I'm sorry
manufacturing
Can you say that
again
whether any of Square D's
Q.
Do you know
customers of their molded plastic products ever those products to
specified to them what they wanted
23 24
be made of
A.
No I don't
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Q.
Are you aware of any industry standards
for the performance of reinforced plastic products
A.
No.
Q.
Do you believe that you've told me what
all of your opinions are with respect to Reichhold in
this deposition
MR CRUMPLAR I'm going to object to
that that there was a question that said that
We've given a disclosure with regard to the opinions
that he's going to testify as to
MR MCCAULEY
Well the disclosure
was from quite some time back before he had the
meeting or reviewed any Reichhold documents It
doesn't mention Reichhold
It's pretty useless
So
I'm trying to figure out what his Reichhold opinions are that he formulated last night and since then
BY MR MCCAULEY
Q.
Have you told me all of those opinions
Dr. Castleman
A.
I've attempted to I mean basically
Reichhold was a chemical company
They should have
known about toxic substances or had people that knew
about toxic substances in their employ by the time
of you know plaintiff's exposures starting in the
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1 case that Reichhold should have -- Reichhold
of OSHA regulations from
was aware
2 demonstratively
asbestos regulations specific
3
the beginning of OSHA
on asbestos in the end of 1971
4 regulations from OSHA
understood at least in its own
5
and the company
of the OSHA standards
6 operations the implications
where asbestos was used in
7
for its own factories
8 9 10 11 12 13 14 15 16 17 18
making
these
resin products
That's basically
it
And we didn't cover this Q.
but
I want to
clarify You haven't looked at any
plaintiff
A.
Right
information in this case
My testimony is about the
right
defendants not about the
Q. You don't have
plaintiffs say they might
plaintiffs
any idea about have done with
what what
the
products and when
A.
Right
right
That evidence will
come
in through
19 other witnesses than me
not offering any opinion that
20
Q.
So you're
ever used a Reichhold
21 any of these plaintiffs
or the other do
You don't know one way
22
product
23
you
24
A.
Well it's beyond the scope of my
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testimony to talk about that
Page 79
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2 Q. Okay And before last night any opinions
3 you had about Reichhold would have just been general
4 opinions about any member of the chemical industry
5
fair
6 7 00 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24
A.
I think so yes
Q.
And since last night and since
you
reviewed some documents that Mr. Crumplar gave you
you've developed some more specific relating to Reichhold fair
opinions
directly
A.
Right
the questions
MR MCCAULEY I have for you
Okay Those are all
Dr. Castleman
I pass the witness
MR CRUMPLAR
follow questions
I just have a couple
BY MR CRUMPLAR
Q.
Doctor can you explain what NIOSH is and
what their relation is to OSHA how they assist OSHA
A.
Well the Occupational Safety and Health
Act created NIOSH and OSHA
OSHA was in the
Department of Labor and was given the authority to
issue regulations and enforce them
NIOSH on the other hand was placed
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1
in the Department of Health Education and Welfare
2
and was created for the purpose of advising OSHA in
3
the setting of health standards and generally doing
+1
such things as health hazard evaluations in
5
industries where there was concern about the
6
potential hazards to the workers
7 So NIOSH's inspections would be done
8
without any concomitant authority to regulate
9
whereas OSHA always did its inspections and these
10
were supposed to be unannounced inspections for the
11
purpose of regulating hazards in the industry
12
That's basically -- and they were
13
created in 1971 actually The last days of 1970 the
14
law was enacted by Congress and so OSHA began to
15 16 17 18 19 20 21 22
function in April of 1971
Q.
Doctor are you familiar with there was a
criteria document prepared by NIOSH which was really
giving advice to OSHA with regard to the labeling in
1972 and NIOSH recommended that the labels on
"
asbestos materials contain the word danger
specifically mention the cancer hazard but OSHA did not adopt that NIOSH recommendation Can you explain
23
why they did not
24 A. Yes Well the -- some understanding is
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8
Page
1 minimum standard
A. Tt It was minimum standard.
let let just ask standard question,
Q.
Doctor
real this
another couple other questions
one of the things quick Reichhold
Madden said that
Mr.
the that Reichhold
was doing doing they would investigate
of
into new products
materials that they put
raw
to do?
that's that's good thing for a company
you think
10 11 12 13
14 15 17 18
19 20 21 22
23 24 M
A.
Sure
assume that in 1965 just in
Q. Now let's
started including a of 1965 Reichhold
the beginning asbestos Had anything
new material in its product the beginning of 1965 that
happened right before
to a chemical company
would give a special notice
asbestos into the
thinking about incorporating
in terms the I I
Had anything developed
guess
with asbestos
health fields dealing
guess, in public
I'd ask ask
And especially company company
was headquartered
right assume that the company
right
York City its manufacturing manufacturing
plant was of New
Carteret, right outside New York York
City Had in
the the
happened New York City in
fall 1964 that
aa
notice pause to
company company thinking about about give
about now including asbestos company thinking
Reporting
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Barry Castleman
included in the notorious Guenther memo
The
Page 81
Page 81 head of
OSHA was a man named George Guenther
N
And one week after the asbestos
rule was published in the Federal Register Guenther
authored a memorandum that went to the White House
that basically said that OSHA a properly managed OSHA as he put it can be useful in the efforts to do raising to raise funds for the reelection of President Nixon This was a presidential election
year
This was also the same month as the
Watergate break And the Guenther memo suggested that he would not issue any proposed rules for
controversial industries or wouldn't issue controversial rules before the November elections
So I mean there was - this is a
political environment in which OSHA and NIOSH and the
Environmental Protection Agency were created And as such you know there are limitations both in the law
and in its implementation from a public health point
of view
Q.
Did the OSHA regulations prevent a company
from going further having warnings that were more explicit in terms of the dangers Or was that simply
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a minimum standard
Page 82 Page 82
A.
It was a minimum standard
Q.
Doctor let me just ask this question
another couple other questions real quick Mr. Madden said that one of the things that Reichhold was doing is they would investigate the hazards of raw materials that they put into new products Do you think that's a good thing for a company to do
A.
Sure
Q.
Now let's assume that in 1965 just in
the beginning of 1965 Reichhold started including a
new material in its product asbestos Had anything
happened right before the beginning of 1965 that would give a special notice to a chemical company thinking about incorporating asbestos into the product Had anything developed in terms of the I guess in public health fields dealing with asbestos
And especially a company -- I'd ask
you to assume that the company was headquartered right outside of New York City and its manufacturing plant was in Carteret right outside of New York City Had anything happened in New York City in the fall of 1964 that might give notice and pause to a
company thinking about now including asbestos
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A.
Yes. It
was a major --
83 83 83
It McCAULEY: me
Objection to the
just give my my
form;
argumentative leading
objection to cetera.
BY MR,
MR.
MR
CRUMPLAR
It's
examination
10 11 12 13 14 15
Q. GO ahead Doctor You can
answer
A
There was
a major conference
New
organized by Irving
organized Waldorf Astoria
Selikoff in
in New York
October 1964
City
And
York York 1964 at the
conference was the subject of media
reports well
aS
considerable attention
within industry and
well
representatives from a number of
companies -- we don't have have
complete list no such list has
survived
16 17 18 19
that
were
documents But from corporate
we industry
that number number
companies in the asbestos
there and that other
Union
companies like Union
predecessor Carbide Carbide DuPont
were were Exxon's
and
Exxon
also
had
also
who
officials officials conference conference
I mean
were were attendance at
in York
--
also asbestos the 1964 asbestos
24
Q. And And terms of an art
witnesses
how do defense
State-of-the-art witnesses talk
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1
about the significance of this conference in terms of
2
eliminating any doubt among industry about the
3
dangers of asbestos
4 MR MCCAULEY Objection to form
5 THE WITNESS Well defense experts
6 generally characterize this conference as a watershed
7
in establishing that asbestos exposure could cause
8
cancer particularly to asbestos product users such
9 10 11 12 13 14 15 16
17 18
as insulation workers
Yeah
The -- the conference also goes
a long way to establish that level exposure to
asbestos is harmful with the epidemiological report
of Newhouse and Thompson showing a statistically
significant association between asbestos exposure
household contact exposure to asbestos as well as
occupational and even neighborhood exposure to asbestos air pollution point sources all of these being statistically significantly associated with
19
mesothelioma mortality
20
Q.
And one last question We talked about
21
Science News that reported on this conference But
22 you mentioned I think that just in your general
23
files which have been subject to depositions before
24
that you have files dealing with newspapers
Just
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briefly
Page 85
H
explain briefly what the media coverage especially
2
in the New York area where you have a company such as
3
Reichhold being headquartered in New York
4
metropolitan area what kind -- if people were simply
5
reading the newspaper like The New York Times what
fi would they learn about this conference
7
MR MCCAULEY Object to form
8
THE WITNESS Well they would learn
9
that mesothelioma was a matter of considerable
10
concern at the time that the conference was held
11
And subsequent to 1964 Selikoff was featured in
12
many many articles that were published in The New
13
York Times raising concerns about the hazards of
14
asbestos Hazards of sprayed asbestos in the
15
construction of skyscrapers in New York was the
16
subject of major reports in the New Yorker magazine
17
in 1968. And Selikoff was a central figure in all of
18
these stories in terms of his comments and you know
19
his research findings
20
MR CRUMPLAR
Okay
Thank you
No
21
further questions
22
23
follow
MR MCCAULEY
I have a couple
24
BY MR MCCAULEY
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1 Q. Dr. Castleman when were the proceedings
2
from the New York conference published
3
A.
They were dated December 31 1965
4
Q.
And so if you weren't at the conference
5
the book didn't come out until the end of 1965
6 7 8 9 10 11 12 13 14 15 16 17 18
correct
A.
Yes
Q.
And that went into some libraries right
It wasn't disseminated
It wasn't mailed out to
anyone was it
A.
Well
I suppose it could have been mailed
out to people who were members of the New York
Academy of Sciences but -- and it could have
certainly been ordered from the New York Academy of
Sciences
But you know I don't imagine that -- it
was mostly libraries that would have had regular
subscriptions to that journal
Q.
Have you seen your designation in this
19 20 21 22 23
case A. Q. A. Q.
Yes I looked at it briefly Last night
Yes
You didn't see it before it was written
24
though right
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1 A. No. These things are routinely composed
2
by attorneys without consulting their experts
3
Q.
In the process of making government
4
regulations I mean OSHA considers -- OSHA publishes
5
a notice in the Federal Register and says that they
6
want to consider comments from anybody who has any
7
interest in what they're about to regulate correct
8
A.
Well yeah OSHA welcomes comments in the
9
Federal Register from anybody who reads the Federal
10 11 12 13 14 15 16 17
18 19 20
Register
Q.
And NIOSH is one of the organizations that
gives OSHA comments but OSHA's not required to
accept anything that NIOSH says right
A.
Well that's right OSHA ultimately has
the authority to decide in terms of issuing
regulations just what the content of those rules is
going to be
Q.
And the NIOSH health hazard evaluations
were done in particular industries right
A.
Well they were done in particular
21
factories
22
Q.
No. When the Occupational Safety and
23
Health Act was passed NIOSH prioritized the areas
24
that needed to be studied for potential asbestos
M
Merv Reporting
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Barry Castleman
hazards right
A.
I don't know that you could say that
Page 88 Page 88
NIOSH did some investigations of its own and some of
that information was published
I'm not sure you
could say they prioritized It's not like they
devoted minded attention to asbestos
They were dealing with an enormous
range of health hazards which were for the first
time subject to regulations to protect workers
health and safety in the American industry So this
is an enormous change that came about in the early
1970s
Q.
But with respect to asbestos when they
studied asbestos they went out and did health hazard
evaluations in factories that were using raw asbestos
to make products right
A.
Not just that They did investigations in
other settings as well They went into places where
asbestos break servicing was done brake repair work
was done
It wasn't just raw asbestos used in
manufacturing that NIOSH was limited to doing their
health hazard evaluations in A lot of the
evaluations were triggered by requests from the
workers for evaluations
M
Mulerer ts Reporting
~ ore?
t
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Barry Castleman
Page 89
Page 89
Q.
And some of those were in factories where
they were using raw asbestos right
A.
Some of them were yes
Q.
And some of them were using raw asbestos
in the 1970s without any regard for the OSHA
regulations This is mid to late 70s right
A.
Well I don't know about any regard
But
there was certainly widespread disregard for specific
provisions of OSHA's regulations that were documented
through the 1970s in specific workplaces
Q.
And OSHA's not obligated to accept any of
NIOSH's recommendations right
A.
Right
Q.
And there have been plenty of times in
plenty of areas that OSHA rejected or declined to
follow some recommendation made by NIOSH right
A.
Oh sure This is largely because it's a
lot easier for NIOSH to recommend that OSHA regulate something than it is for OSHA to go through the blown process of issuing a notice of proposed rule issuing a proposed rule holding hearings evaluating all the pre- and hearing extents and then issuing a final rule and then having to defend the final rule when they get sued by financially
M
Mukerver Mukerver
331 Boger sy
Reporting
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Barry Castleman
Page 90
Page 90
which is the kind of routine that
1
affected parties
OSHA making
2
generally prevails for every
the academics they can make
3
Q.
At NIOSH or
that doesn't turn out to
4
an academic recommendation
5 be very practical in application fair
that's possible in the case of
6
A.
Well
... academics as you put it writing articles in
8 scientific journals They might make recommendations
I'm not thinking of anything
9
that are not practical
when I say this but I'm sure that can
10
in particular
11 12 13 14 15 16
17
occur
Q.
greenhouse
out how to
Somebody
gases or do it is
We need to get rid of might say
we got to do that But figuring a whole different issue right
this
A.
Right That's right
Q.
Do you know - I think you
before but you don't know where
have told me Square D was
18
based
19
A.
No I don't
I may have been told but I
20
don't recall
MR MCCAULEY
Okay
Those are all
21
22 the questions I have Thank you
MR CRUMPLAR Okay Thank you very
23
24 much The deposition is over with
|
M
Mulerver Reporting
Rat
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Barry Castleman
Page 91
Page 91
1
Thank you Doctor
2 THE WITNESS Okay I waive
3
signature Have a nice day
4
Deposition concluded at 12:10 p.m.
5
Reading and signing was waived )
10 11 12 13 14 15 16 17
18 19 20 21 22 23 24
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Barry Castleman
Page 92
Page 92
1
CERTIFICATION
2
3 4 5 6 7
8 9 10 11 12 13 14 15 16
I ADAM D. MILLER Registered Professional Reporter certify that the foregoing is a true and accurate transcript of the foregoing deposition that the witness was first sworn by me at the time place and on the date herein before set
forth
I further certify that I am neither
attorney nor counsel for not related to nor employed by any of the parties to the action in which this deposition was taken further that I am not a relative or employee of any attorney or counsel
employed in this case nor am I financially
interested in this action
17
18
19 -- ------,------,
--
------,
_
20
Adam D. Miller
21 Registered Professional Reporter Notary Public
22
23
24
M
Mutolerverets pRueporting
Miller Verbano Reporting
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Barry Castleman
1 11:22 12 40:19 20,21 1/80 58:20 10 21:23 10th 53:10 12:10 91 12th 10,16 13 37:23 15 37:18 70:17 15th 31 16 30:10 16th 30:21 18th 50 19 21:23 1910 59 1910.1002 59:22
1910.93 44:14
1920s 33:11 1930s 26:21 27 31:19 35:17 37 1935 6,7 33:20 34:23 38:17 1940s 27 39:10 64:12 65 1948 30 1950s 13:12 1954 29:24 30:10 31:21 2,4,11 1960s 12:23 1963 8,11 1964 30:16 67 68.6 14,22 71:18
72 73:21 75 82:23 9,21 85:11 1965 25:23 40 10,11,13 3,5 1966 21:24 23 10,19
1968 21 73:15 74.10 85:17
1969 21 73:16 1970 80:13 1970s 7,14 25:21 45 88:12 89
10
1971 13 6,19 12,24 5,13 78 13,15
1972 14,19 74:14 80:19 1973 14,22 3,21 1,3 1978 44 1979 38:24 1980 25:23 38:24 20,22 1981 40 50 53:13
2 11:19 59:17 2010 8 2011 4 24 38 25 5:14 37:16 38:10 26th 34:10 28 42:14 28th 2,3,21 297 67:11 2nd 8
3 59:20 3/80 58:20 30 5:14 30s 33:12 31 86 31st 21,22
35,000 20,21 52:16 350 2,3,6
4
4 52 40 22:13 40s 64
Index accurate
5 10,15 9,23 8,9,12 50 10:12 500 17,18 50s 65 51 3,12 40:10 52 3,12 49:24 11,15
60s 39:13 65
7
70s 12:23 39:14 89 78 5:11 7th 30:16 67
8
8,000 1,6,17
80s 12:23
A
ability 41
academic 90 academics 3,7
Academy 13,14 accept 87:13 89:11
access 12,13 accidents 34:13 accordance 75:21
account 64:20
accumulated 30 accumulation 8:21 accurate 23
M
Mur x fs Reporting
teete Tm TE
1313 335 5 1335
Miller Verbano Reporting
302.464.0880 --- 215.436.9336
acknowledge 45 acknowledges 8:12 acquaintance 36:16 acquire 20
act 58 79:21 87:23 action 34 66:13 activities 41 13,16 54:20 acts 23:20 actual 53:18 72 acute 64:15
ad 1,2,9,14,17,21 21 39:17
add 8:10 7 34:17 additional 5 13,15 54
additionally 31:16 54 adequate 75 administered 35 Administration 44.15 adopt 34:11 80:22 adopted 39:20 adopting 25:10 advanced 33:24 advertisement 19:21
advertiser 53:10 advice 80:18 advise 14 advising 80 affected 90 affecting 70:11 age 70:17
agencies 11:24 23:20 35 Agency 81:18 agents 56:17 aggregate 66
agree 23 25 27 37 38 40:14 5,12 59 61:19 4,24 67 69 74:20 8,19
Barry Castleman
Index
acknowledge August
ahead 83 air 24:22 41 66:12 71:16 84:17
pollution 72
airborne 50:20 72:17 alarm 72
allegedly 10:10 6,13
alluded 42:17 ambient 71:24 amendment 34:11 37:15 American 12,13 88:10 Americans 22:13 amosite 68:18 amount 48 analyses 50
analysis 24:22 27:18 41
animals 68:20 announced 31 annual 28
answering 49 anticipated 65:21 apparently 38:18 50:24 68:18
appears 3,6 48:17 68:15
application 42 4,23 90 applied 15:22 apply 46:21 approach 35:16 April 80:15
area 35:18 49:19 2,4 areas 42:11 61 71:15 87:23 89:15 argue 75
argued 74:12 argumentative 83 arising 18:22 artfully 25:16
article 20:19 3,8,10 29:23 33:20
6,8,16,20 37 67:15 68 71
72
article's 22
articles 30 35:23 85:12 90
asbestos 5:16 20,24 2,9,12 2,10,11,15,20,22 1,3,6 13:12 20 4,9 3,8,11,13,19,24 1,3 15,20,23 5,15 10,20 27 28:17 1,8,13 8,9,13,15 18,23 32 5 8,19 37:10 5,8,15,16,23 41 5,8 4,20 2,5,7,12,16 46:15 47:18 9,14,17 50:20 12,20,21 22 3,12 14,19,21,23 5,6 55 19,23 3,11,15 7,22 62:17 8,12,13 6,8,15,22 6,8,15,22 66:11 12,20 68:17 12,16,17 5,7 10,12,19,20,24 9,16 72 11,14,18
22 4,6,8,14,19,20,22 2,4,23 7,10,11,18 78 4,7 80:20 81 12,15,17,24 17,21,23 3,7,8 12,14,15,17 85:14 87:24 6,13,14 15,19,20 2,4 containing 6,16 13:10 3,6 45 2,10 2,8 51 53 57 2,3 8,16 4,18
asbestos 71
asbestosis 22:14 31 32:23 1,7 17,24 38 67:21 3,8
ascribe 23
assembled 6:12
assist 79.19
association 2,20 73 84:14
assume 31:20 52.3 56 57 82:10 19
Assuming 55:12
assure 23:14
Astoria 83:10
attached 44:16
attempted 75 77:20
attendance 83:21
attention 32:19 65 83:12 88.6
attorneys 87
August 8 50 51:12
Malerver xt
te ete Tata md
Reporting
231 232
Miller Verbano Reporting
302.464.0880 --- 215.436.9336
author 50:16 author's 50:16 authored 81 authorities 22:12
authority 79:22 80 87:15
authorize 24:16
Autopsies 70:17 autopsy 22:21 71:10
average 22:23 5,14 Avoid 63:13
Awaiting 22
aware 9,12,13,17,18 12:22 13 17 32 39 9,13,15 47:17 55 7,9,13 56:20 59:12 14,19 4,16
17 77 78 awareness 44:20 54:22 awful 14:16
back 20:12 26:21 27 30 31:19 33:11 38:14 39:10 3,11 65 71 77:12
bagging 54:13 bags 73:13 74
Bakelite 60:24 BARRY 3 based 19:24 20 22:19 26:22 66:14
73:16 90:18 basic 72
basically 68 77:20 78 80:12 81
basis 39:17 batch 52:10
began 80:14 beginning 58:22 78 11,13 begs 54:17
belief 32 benefit 67
Barry Castleman
Index charged
known 27:19
call 26
big 68 bigger 16,19 28
bit 12:13 blow 64:22 blur 12:21 blurb 30:24 board 61 bodies 22:20 70:19 71:10
bodily 63:14
book 15,18 7:15 8:12 29 86
called 17:22 22 5,6 76 calls 44
cancer 21:24 65 12,18,23 70 80:21 84
causing 30 capable 24:22 Cape 70:18
car 20:10
Carbide 13,15,19 13,18,22,23 4,7,11 18,21 7,12,17 75:19
24 83:19
books 25:10
Carbide's 75
bottom 32:20
carcinoma 68
boxes 12:24
card 48
brake 71:14 3,6 88:19 break 88:19
care 29:17 careful 14
break 81:12 breathe 10,11
Breathing 63:13 briefly 85 86:20
British 68
broadcasting 20:22
bronchial 68
brought 5 building 15:17
bunch 48 business 4:16 12:15 14:17 businesses 28
byssinosis 38:12 bystander 71:22
carefully 46
Carolina 4,9,10,21 32 10,24 34 36:19 37 38:14
carried 54:20
Carteret 50:11 82:21
case 5 10:10 12 13 14 2,14 16:22 15,20 2,3,12,14 31:15 41:20 51:10 54:21 5,23 63 71:20 1,12 86:19 90
cases 5:23 17:24 22:13 28:21 36
Castleman 1,6,13 9,10 47 77:19 79:13 86
caused 68:19
caution 63:12 8,11 cavities 37:20 68:19 Cedar 13
C
C 50:11 Calidria 8,22 75:21 California 33
central 85:17 cetera 59:23 65 83
change 49:10 88:11
characterize 84
charged 66
M
Mulerv ) Reporting
boetes Gre 21
VL jew
Miller Verbano Reporting
302.464.0880 -- 215.436.9336
charges 32:21 Charlotte 31
chart 48 check 40 checked 27:22
chemical 5,14,15,16 8:23 9:15 17:23 15,18 6,7,8,9,11,15,16 21 22 37:21 38 1,20 6,12 11,18 3,11,19 73 77:21 79
82:14
chemicals 31 50:10 1,2 73 Chemists 73 chest 68:19 chloride 12 chronic 22:13
chrysotile 68:18 14,24 74:22
75:11 circulated 21:10 circumstances 14 citation 69:15
cited 4:21 3,13 21,22 29 city 70:11 20,22 83:10
dwelling 71
claim 17:16
clarify 78:11
Clark 50:10 class 19:23 classified 20:21 74 clear 12 coated 70:20 codes 24:20 25 26 comment 35:24 comments 85:18 6,8,12 commercial 52:10 commission 23:19 32 21,23
1,4 committee 35 39
Barry Castleman
Index charges..corporations
common 35:16 64
comp 31:11 1,6
companies 4:16 14:14 15:16 16
17 22 9,19 27:15 28:17 44:23 3,6,7,16 51 13,17,18 company 4:15 12:12 16 17:22 18:13 21:10 26:12 32:18 51:11 53:24 57 58 77:21 78 81:22 8,14 18,19,24 85
company 19:20
compare 43:15
comparison 44 compensable 31 15,23 3,21
13,18 37:15
compensation 34:11 35 38:17 competitors 43:18
complete 3 43:22 53:20 83:14 completely 75:17 completeness 7,10 compliance 24:17 42:18 comply 24 4,16,21
complying 1,11 components 12:24 16:13 composed 87 composition 13:22 48:19 76 compositions 41 compound 40 41:17 42 43:10
16,17 47:13 49 50:21 9,15,17 3,18 5,19 83
compounds 10:21 11 12 15:15
17 16:15 5,14,17 2,5,16 38:21 5,12 46:24 2,11 53 5,15 57 59 60:20 61:12 62:14 1,8 72:12 6,13
concentration 50:20
concentrations 63
concern 13,15 56:18 11,17 80 85:10
concerns 85:13
concluded 91 concomitant 80 conditions 68 conference 30:17 68 75 8,11
22 1,6,10,21 6,10 2,4 confidential 14:18 confirm 15 24:17 34 50:19 53:17 confirmed 18:20 Congress 23:21 80:14 connected 63:16 connection 32 considerable 83:12 85 considered 11,15 considers 87 construction 16,22 16 85:15
consulting 87
Consumer 23:19 contact 20:16 37:20 38 84:15
contained 19,23 10 2,19 12 13:20 4,21 3,18 22 10,12 44:14 9,23 65:14
content 40:17 41 14,17 65:13 87:16
context 42:17 continued 39:13
continuously 39:16
contractor 16 contractors 15:22 control 21:17 controversial 14,15 conversation 18-12 convinced 22:11
copy 21 44:16
corporate 7:11 6 17 19:23 26:22
19,24 46:10 53 9,12 58 83:16
corporation 18 20:22 corporations 5:16
M
Mulerver y Reporing
being being ke zk
\3
Miller Verbano Reporting
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correct 7:16 12:24 13:13 16:17 24 26 29 35:14 37:12 38 6,13 5,17,21 2,6 50:23 9,14,17 56 58 60 9,10 62 18,19 23 67 68:13 1,7,9 14,22 73:10 86 87
Cost 48
Council 70
counsel 3 11,13 count 28
counted 12 19:14
country 7 couple 20 30:22 40 47:24 66:16
79:15 82 85:22 cover 78:10 coverage 85 covered 3:15 17:19 create 56:22 62:24
created 23:20 56 62:18 75:16 79:21 2,13 81:18
creating 63:13
criteria 13:22 80:17
crocidolite 68:18 74:23 75:11
containing 18:15
examination 83
Crumplar 4 4 4,5,13,18,21 4
7,22 8,19 3,9,11 14,17 17:11 12,18 27 37 1,5,19 48:15 51 57:10 58 63:22 64 65:10 66:21 70 71 77 8,15,17 5,6 85:20 90:23 cumulative 66
current 66:19 75:20
customer 53
customers 57 59 73:10 74:18 4,20 16,21
cut 52
cutting 37:21
CV 3:10
Barry Castleman
Index
correct..discussion correct..discussion
D's 15,20
damage 75:16 danger 64:17 80:20 dangerous 15:19 57 dangers 81:24 84
data 5,13,15 40 48:11 6,16 17,22 1,7 1,6,14 60 63:10
date 32 46:11 48 57:10 58:19 dated 50 86
day 20:11 52:20 75 91 days 80:13
deal 30
dealing 35:16 36:17 75 82:17 84:24
88 dealt 39 December 53:24 86 decide 87:15 declined 89:15
decomposed 72 decomposition 72
defend 89:23 defendants 78:14 defended 7 defense 11,12 83:24 84 definite 70 definition 7 11
degrees 68
Delaware 7,8,9,11 17,19 25:18
delighted 8:11
demand 53
demonstratively 78 denying 75:17 department 1,3,5 44:16 79:22
80
depend 63 depends 13:18 deposed 6 deposition 8,17 4:13 2 18,20
16:24 41:21 77 90:24 91
depositions 9,12 10,11 84:23
describe 42:24 48
description 9 designation 86:18
desired 8 detail 42:19 43 62:10 detailed 54 details 74 determination 66 determine 66:12
determining 50:20 develop 68 developed 68 79 82:16
devoted 50 88 die 68 difference 43 49:21 50 61 dinner 6:23 2,24 8:19 direct 59
directly 22:15 79
director 50:10 disabilities 34:13 disable 64:15 discerned 36:14 disclose 14 disclosed 15 disclosure 14:20 57:18 9,11 discuss 7:15 22 29 discussed 9:10 35:22
discussing 47:22
discussion 3:22 55:23
Mulerver ot
} Tate
Reporting
213
Met za
Miller Verbano Reporting
302.464.0880 - 215.436.9336
disease 31 8,23 33 12,20 2,23 37:11 38:13 16,23 71 75:10
diseases 16 32:16 3,14,15,21 12,17 14,16
disregard 89
disseminated 86 distinction 74:22 doctor 68 79:18 80:16 82 83
91 doctors 16 35:23 36:15 document 10:18 12 19:14 31:10
20,22 49 50 51:16 75:13 80:17 documentation 4:20 14,20 20
41 52:24 16,19 73:16 documented 2,3 89 documents 20,23 6,9 2,4,8,11
12,19,23 3,6,9,11,19,22 2,6 10 6 12 14:24 15 16:21 15,20 4,8 6,9,16,23 26:22 13,23 4,6,10,17 20,24 5,7,23 22,24 22,24 50 3,9,12,13
16 54:10 77:13 79 83:16
doubt 84
draw 11:24
due 37:20
duly 2 duplication 3:13 Dupont 83:19 Durez 17:22 5,8,14,18,22 43:18
76:11 dust 14,15 35 37 38 5,7
14 18,24 3,5,13 10,12 75 dusts 37:21 dwellers 22:21 70:11 71:10
E
earlier 39:24 64 73:21
early 35:11 36:23 37:11 73:15 88:11
easier 89:18
Barry Castleman
Index
disease..experts
easily 36:14
East 70 Education 80 effect 38:23 effort 14 39:16 43:15 efforts 81
eight 51:19 18,22
elaborated 67:15 election 81 elections 81:15 Electric 17,24 6,11 28 60:19
76:12 electrical 16:12 26:15 6,10,14
28 electronic 12:23 elements 48:18
eligible 33 eliminating 84 emerged 43:23
emergency 21,22 55
emphasize 74:21 employ 4:17 77:23 employed 26 employees 8,10,12 7,11 37
10 42:12 55:13
employer 13:10 14:11 25:14 55 employers 15 24:10 25 26
45:15 66
employing 16
enacted 80:14 encounters 45 end 15,24 35:13 44 17,24
70 76:17 78 86
enforce 79:23 enforceable 25 enforcement 24
engineer 21
Engineering 21 engineers 21:10
enormous 7,11 environment 81:17 Environmental 81:18
epidemic 70:24 3,13,21 epidemiological 84:12 equipment 26:16 6,10,14 28
establish 33 84:11 established 24:21 establishing 84 evaluate 46:15 evaluating 89:22 evaluations 80 87:18 15,22,23
24
evening 8,10,13 Eventually 33:17 evidence 21 33 36 41:20 60:14
78:18 exact 40:24 examinations 36:21 54:13 examine 35 37 examined 2
examples 51 excepting 26:10 exceptional 36:20 excerpt 19:14 22,23 30:11 excerpts 19:18 21.21 38:22
excuse 55:11 existed 24:20
expect 26 40:21 expected 55:20 experience 18:22 expert 63:23
expertise 4:18 162
experts 84 87
M
Mulerer oot Reporting
pe
ede Tear Pd
FAP AN yu
Miller Verbano Reporting
302.464.0880 - 215.436.9336
explain 79:18 80:22 85 explained 67:14 explicit 33 81:24 explosion 62:23 63 64:14 exposed 8,10,13 35:18 exposing 56:10
exposure 24:18 15,19 49:22 50 3,5 6,7,11 71 72:12 75 84 11,14,15,16
exposures 24:10 14,19 40:24 41 64:15 4,8 67:20 22,23
72 77:24
expressed 4:13 3 9 11,17 extent 18:20 39:15 8,11 63
64:12 extents 89:22 external 37:19
extremely 46
Exxon 83:19 Exxon's 83:20 eyes 37:19
face 10:18 facilities 25:23 51 55
facility 3,6 17:17 41:18 42 43
16,22,23 56 fact 8:12 57:20 69:11 factories 78 87:21 88:15 89
factory 16,17 11,12 70
fair 49 5,10 90 fall 82:23 familiar 11 4,11 17:21 18:10
43:13 80:16
familiarity 54:10
featured 85:11 federal 15 53:20 55:14 60 81
5,9
Barry Castleman
Index
feel 47 fiber 74 fibers 63:12 8,22 70:20 74 field 4:18 21:16 fields 82:17
figure 14:13 15 21,23 56 77:15
85:17
figures 27:22 figuring 90:13
file 30 files 19:19 21 23,24 final 61 23,24
financially 89:24
find 15:12
finding 71 findings 85:19
Fine 61:21 fire 62:22 63 64:14 float 74 floats 73:22 Florida 70:18 folks 4:17 follow 75 89:16
follow 79:16 85:23
foreseeable 65:24 form 4 3 53:15 61:13 83 84
85
formaldehyde 32 56:21 61:23 formaldehyde 3,22
formed 53
forming 29:15
formula 48:18 formulated 77:16 formulation 48 61 formulations 9:22 3,4,11 3,9
16,18
explain..greenhouse
forthcoming 73
found 19:18 21
page 45:22 46
free 47
freely 15
front 20:11 blown 89:20 fumes 37:22 function 64:21 80:15 functional 40:22
raising 81
funds 81
G
G 81 gases 37:22 90:13 gave 8 37 66:21 79 GE 27:15
general 3:18 17,24 5,11 56
60:19 76:12 79 84:22
generally 8:24 12:22 43:20 63
73:23 75 80 84 90
gentleman 44 George 81 gist 19,20 give 9 9 34:22 36:10 14,23
83
giving 80:18 good 25 57:21 82 government 16,21 35 36:18
87
grades 10:24 11 granulated 10 great 30 greater 64:13 65:22 72 greenhouse 90:13
M
Milerver oo Reporting
Reporting
I 231 231
Ves tg
Miller Verbano Reporting
302.464.0880 - 215.436.9336
Guenther 1,2,4,12 guess 9 13:18 29:24 51:13 82:17
guide 73 guideline 11,13 guidelines 4,13 3,12
H
inch 8:23 hand 79:24 handed 63:16
handling 4:17 20,22 happen 67 74:11 happened 13,22 happening 21:13 happy 18:24
hard 15:20 37:24 harm 63:14 harmful 84:12 harmless 12 Hartford 8,9 51 hazard 21:24 38 56:12 64:23 80
21 87:18 14,22 hazardous 59:17 73 hazards 13:11 21:17 7,10,20
28:24 31:18 57:19 63 14,18,21 24 65 11,17 6,11 82 85:13 14 1,8 he'll 8:13 head 81 heading 44 headings 59:17 headline 67:15 68:11
headquartered 82:19 85 headquarters 11,14
health 4:19 16 22:11 2,20 44:13 15 56:11 64:24 67:11 74:13 75:18 79:20 1,3,4 81:20 82:17 18,23
Barry Castleman
Index Guenther..instructions Guenther..instructions
8,10,14,22 heard 3:24 12:17 3,17 60 hearings 89:21
held 3:22 55:23 85:10
helpful 29:14 high 63 highest 14,16 hindsight 67
hoc 39:17
holding 89:21
homes 15:17
hope 3:14
hotel 6:17 hours 7
include 24:15 34:12 included 81
including 8:22 47 11,24 inclusion 33 incomplete 57:18 incorporating 82:15
incorrect 22:19 23:23 45:24 46 increase 70 increased 22
increasing 40:22
indication 34:22 49:13 76 industrial 16 9,16 1,2,5,21
23,24 35 8,17 50:13 industries 33:16 35 36:22 37
38:14 80 81:14 87:19
House 81 household 84:15
huge 71:13
hundred 40:17 hundreds 24:23
hygiene 1,2,5 hygienist 50:14 hygienists 16
industry 9:16 20:23 7,12,13 12,13 1,4 27 28 33:11 12,13,16 43:12 62:10 3,11,19 20 77 79 80:11 12,17 84
88:10
infection 37:18
inference 22:19
inferences 22:23
inflammation 37:19
information 4 6 16:19 20:15 26:13 31:21 47 1,2 55:22 60 72 73 78:12 88 4
idea 52:17 63:15 67:24 78:15 identification 10:23
identify 41:23 ignorance 45 55:10 imagine 4:19 13:24 14 45:14 86:15 immediately 20 implementation 81:20 implications 32:20 78 implied 15:11 imposed 6,9
inch 8:22
informed 13:19
ingredients 12 8,10 59:18 76
inhaled 38
injected 69 injections 17,23
innumerable 6 insidious 64:24
inspections 24:17 7,9,10 inspectors 24:16
installation 3,22 instructions 39
Mulerver un
Toyete Tp?
Reporting
AN tp
Miller Verbano Reporting
302.464.0880 --- 215.436.9336
insulation 32 84 insurance 32:20 51 intended 41:14 interest 87 intermediate 61:18 internal 7:10 6,9 18,22
interpreting 46:21 investigate 82 investigations 3,17
involve 40 involved 10:10 12 40 44:24
57:19 76
involving 28:22
Iowa 13 19,21 32:22 33
containing 70:20 irritating 37:21 38 Irving 83
issue 8:23 19:22 21:24 22 31:17 53:10 79:23 81:13 90:14
issued 43:21 63:17 issues 17,18
issuing 87:15 20,21,23
a 42:15 J.C. 68:13 Jacobs 9:11 Jansen 42:15 46:14
January 3 58:20 jargon 43:12 62 Jersey 50:11 51 jobs 54:15
Johns 73:13
joint 15,17 journal 8:24 86:17 journals 90
Barry Castleman Index insulation..lowest insulation..lowest
June 51:13
left 33 66
junior 21
K
legal 56 legislature 34
letter 44 45:21 50:17
kind 12:20 17 25 38:17 39:16 40:22 20,21 44 18,22 49 3,4 65 1,9 85 90
kinds 21:13 36:17 45 18,21,23 74
Kingdom 68
knew 15 16 26 28:24 31:17 77:22
knowing 21:11 52:21 knowledge 5:16 19:23 2,24 53:18
61
knowledgeable 17
L
levels 25:15 liabilities 32:21
liability 32:21
libraries 8,16 limit 2,10,11 41:10 limitations 81:19 limited 88:21 limits 24:18 25 75
lining 71:14 72 linings 72 liquids 37:22
list 24:23 25:13 33 42:13 83:14
label 39:21 60:16 62:14 64 65:11 66 73 13,15
labeling 64:11 13,17 80:18
labels 60:12 7,11,20 73 80:19 Labor 44:16 79:22 laboratories 20,21 lack 36
language 7,17 largely 75 89:17
late 73:15 89 law 2 11,17,20 33 11,17
1,5 37 38:17 39:21 8,10,11 80:14 81:19 laws 23:24 10,14 10,13 2,5 33 35
lawyers 74:12
lead 71:12
leading 83
learn 6,8 leave 6
listed 25:12 14,16 48 lists 38 literature 35:22 10,16
litigation 43:23 45 62 83:23
live 12,17 lived 67:22 locations 47:15 London 6,8
long 6:24 36:11 68 84:11 delayed 64:24 longer 12,17,22
looked 21,22 46 48:16 57:24 78:11 86:20
lot 6,16,17 42 43:12 52:15 88:22
89:18 lots 30 low 67:21 level 84:11 lowest 58:16
lowest 74
M
Mulerer dots Reporting
}
wt
M 12
Miller Verbano Reporting
302.464.0880 --- 215.436.9336
lung 56:16 7,19
related 38:13
lungs 22:20 70:11 71:10
M
Madden 10,11 46:14 82 Madden's 45:19 51:16 58:23 62:12
63:18 made 18,19 6,15 27:14 28:17
29:11 31 5,22 33:21 8,15 47:16 61:22 76:23 89:16
magazine 15,18,22 1,2,5,23 2,3,6,16,21,24 53:18 85:16
magazines 21:14
mailed 9,11
major 68:17 1,8 85:16 majority 49
make 2 14,19 49:21 50 66 88:16 3,8
makes 67:16 68:10
making 49:13 10,22 54 78
87 man 22:24 81
managed 81
manifest 38:16 manner 13,16 42:24 manual 64 manufacture 14:12 45:17 manufactured 10 11 12:23 18
41:17 42 1,16,18 46:24 10,12 20,23 manufacturer 12,16 6,11 43
60:15 manufacturers 26:16 2,20
manufacturing 16:16 25:23 26:12
44:24 45:12 54 55 63:10 73 76:18 82:20 88:21
Manville 73:13 March 34.10 42:14 2,3,21 54
Barry Castleman Index lung..nature
market 22 27:18 28
marketed 14 material 6:11 4,13,15 16:16 17
18:18 38 40 41:22 43:21 8,17 48:11 5,11,17,22,24 58 1,6 14 60 61:12 64:16 82:12
materials 8:18 12:10 12,13,19 28:12 41:15 48:19 56:12 57:19 60:22 71:14 72 80:20 82
math 52
matter 85
matters 22 28
Mccauley 3:23 11,22,24 6:20 8:16
17 13:16 14:10 6,8 18,20 24 8 6,8 27 2,4 3,8 56 57:12 63:24 4,12,16 71:19 77:11 17 79:12 83 84 7,22,24 90:21
means 20 52 measurements 50
measures 27:24
measuring 50
media 83:11 85 medical 22:12 33 35 3,14,20
37 54:13
meet 14,21,24 meeting 3,9 77:13 melt 61:12 62 member 9:15 28:10 79 members 20:23 86:12 memo 7,9,13 22,23 1,12 memorandum 14,18 46 81
memos 19,21
mesotheliomas 19,23 met 13:21 method 42 metropolitan 85 Miami 70:18 71 Micarta 60:24 3,7,17,22 mid 89 mild 22:13 mind 67 72:13 minimal 3:14 minimize 75:16 minimum 60:11 1,2
missed 30:20 mistake 69 moderate 68 mold 62 molded 76:21
molding 21,24 12 16:15 17 14,17 2,5,16 38:20 40 5,6,11 17 42 10,16,17 46:24 2,11,12
48:20 49 50:21 53 4,15 57 59 8,15,17,20 3,11,18 62 14,19 63 72:12 5,13 monotone 40:22 month 52:23 81:11 moral 56:10 mortality 84:19 mounting 61 MSDS 57:20
multiple 66:10
men 16
mention 5:17 77:14 80:21
mentioned 25 28:14 39 47:19 69:17 84:22
named 44 81 names 14:17 19,20 35
mentioning 7:19
mesothelioma 18:22 30:17 3,15 13,21 84:19 85
nasal 37:20 38 National 18,19 nature 63
M
Mujerve 1 Reporing
4847 beb^'4847 64, eX ya er
Miller Verbano Reporting
302.464.0880 --- 215.436.9336
Barry Castleman
NC 33:21
necessarily 20:13 32:12 57:15 73
needed 45:13 55:18 64:20 87:24
neighborhood 5,23 84:16 neoplasias 71
Newhouse 84:13 news 9,11 18,19 84:21 Newsletter 66:17 67 20,23 newspaper 11,21 29:24 30 85 newspapers 20:10 30 84:24 nice 91
night 6:22 7:23 4,20 3,10,18
18:12 19:10 28:13 31:12 33:19 37 7,16 66:22 70 77:16 2,7 86:21
NIOSH 5,9,20 18,21,24 80:17 19,22 81:17 11,13,18,23 3,21 16,18 90
NIOSH'S 80 89:12 Nixon 81 asbestos 47:12 fibrous 72 nonetheless 32 nonworkers 71 North 4,9,10,21 32 10,24
34 36:19 37 38:13
inappropriate 58:14
notice 22 26 14,23 87 89:20 notion 35:19 notorious 81 November 67 81:15 number 28:18 14,15 13,17 numerous 69:17
O
object 4:22 8:16 16 21:18 25 27
37 85
objection 6 47 65:12 71 83
84
obligated 3:12 55 89:11 obligation 7,9,12 6,9,10 occasionally 18:15
Occidental 17:22
occupational 4:18 2,5 32 33
21 12,17 44:15 59:22 65 79:20 84:16 87:22 occur 69:13 90:11 occurrence 70 occurs 72:13 October 30:16 31 21,22 83 offer 43:24
offering 78:20
office 6:19 officials 19,21 oils 37:21 open 31 33 72:16
opened 32 opening 32:14
opens 31:20
operate 64:21 operation 31 operations 78 opinion 3:18 9:16 13 45:11 49:16
55 56 60 67:10 73:12 78:20
opinions 4,13 3,9 4,8,11,12
26 29:15 30:12 31:15 49 51:10 6,7,13,15 5,9,15,18 2,4,9
opportunities 22 opportunity 40:18 67:22 opposed 43 49:23
oral 37:20 order 55:20 ordered 86:14 orders 52:19
Index period
organizations 28 87:11 organized 83 organizing 30:18
OSHA 13,20 13 6,21 23:17 8,18 15,20 2,9,13 46:20 53:23 4,11 1,4,14 59 3,5 3,5,14,18 74:15 75:22 2,3,4,6 19,21 2,9,14,18,21 2,6,7,17 22 4,8,12,14 5,15,18,19 90
OSHA'S 87:12 9,11
P
P 56:21
p.m. 91
paid 19:21
paper 15,19
paragraph 8,12,18 part 20:24 41:21 67:10 parties 90
pass 79:14 passages 38
passed 87:23 past 4:19 7:13 8 26:16 73
pause 82:23 pay 20:15
paying 32:18
PEL 65:22
penalized 25 penalties 24:15 people 14 28:24 29:19 50 67:17
77:22 85 86:12
percent 2,3,12 10,15,19,22
12 22:13 10,18,19,23 9,23,24 7,8,9,12 11,15 percentage 52 58:15 percentages 40:11
performance 77 period 25:21 30
M
Mulerver x ts Reporting
a
21
Yen tee
Miller Verbano Reporting
302.464.0880 - 215.436.9336
periodic 54:12
person 6:14 17 33
personnel 50:21
persons 70:17
persuade 75:20 pertinent 67:10 phenol 56:21 61:22 phenolic 11,21,24 12 16:15
5,13,16 2,5,15 38:20 40 41 11,17 42 10,16,17 46:24 47 11,12 49 53 4,15 57 59 8,15,16,20 3,11,17 5,14,19 24 72:12 5,13
photocopied 8:23 physical 13:21 picture 21 place 25:19 69:18 places 88:18
Plains 8,9
plaintiff's 3 77:24 plaintiff 78:12 plaintiffs 13 17:16 14,16,21
plant 30:24 4,20 4,14 42 43 47:15 19,24 5,15,23 82:21
plants 47:15 plastic 8,13 17,21 77
Plenco 76:12
plenty 14,15 pleura 69 pleural 68:22 pneumonia 68 point 81:20 84:17 policies 7,12 polite 57:18 political 81:17 pollution 84:17 polyesters 44
Barry Castleman
Index periodic publication
portion 59:21
possibility 18:17
hearing 89:22 potential 13:11 32:21 40:15 42
49:22 50 56:11 16,17 74:18 2,18,20 80 87:24
potentially 64:16 potentials 72:21 pounds 18,20,21 1,2,3,16,17 practical 5,9 practice 12,13 25 12,13,24
72
pre- 89:22
osha 25:21
precautionary 39
precautions 43
predecessor 83:20
preliminary 3:24
preparation 73
prepared 57:20 75 80:17
presence 26 71
14 15:24 20:22 22:20
present 8:19 35 37 40:18 presentation 48:23 presented 6:12 25 41:21
President 81
presidential 81 pretty 33:24 64 77:14 prevails 90 prevalent 49 prevent 81:22 previously 2,8 12:10 prior 3:12 28:16 prioritized 87:23 88 priority 64:19 problem 45:19
problems 15,23 2,18 procedures 29:13 proceedings 86
process 41 42:10 43 45:12 87 89:20
processes 8,17
processing 56:13 produced 26:23 50 51:19 66:15 producing 3:19 product 8,22 6,14,16 3,12
20:20 23:19 15,17,23 43 48:20 49 11,20 55:19 2,8,15 60:12 5,8,14,17,19,24 65:21 1,2,8 72:18 78:22 12,16 84
production 52:21 products 17,19,23 10,11,19
1,3 13:10 7,16,20 18,23 21:12 28:17 40:20 1,18 47:15 49:13 4,18 60 23 61 66 72 14,21 4,9,18,20 17,21,22 77 8,17 82 88:16
professed 45 progression 36 5,7 properly 20:16 81 properties 30 proposed 73 81:13 20,21 proprietary 13:23 prospective 356 356 37 protect 15:10 75 88 protected 22:24 5,15
Protection 81:18
proved 72 provide 23:14 29:17 provided 5:20 19,22 33:19 35:13
37:12 57:23 58 63
providing 36:20 60 provisions 89 public 67:11 81 20 82:17 publication 1,771 12
M
MulerverReporting MulerverReporting MulerverReporting MulerverReporting
kayeta puedo req
N Tyee
Miller Verbano Reporting
302.464.0880 -- 215.436.9336
publications 11 published 11 20 21 23:17 36
15 43:22 53:23 67 71 10,16 81 85:12 86 88 publishes 87 purchased 10:20 57 purpose 45:23 50:19 2,11 purposes 28:23 put 5,11 58:16 60:15 5,13 64 16 73:13 7,9 90 puts 19:22
putting 60:12 65
Q
qualifications 3:15 question 24 34 35:24 10,11
41:13 44 49 54:17 66 77 82 84:20
questioning 3 562 questions 14,20 14:23 40 79:13
16 82 85:21 90:22
quick 5 82 quickly 42 quit 67:21 quote 10,15,22 23 8,14
10,13 4,5 67:12 70:10 quoted 68:12 quotes 34:20
R
raise 81 raised 72
raising 85:13
range 49:17 74 88
Rapids 13 raw 12,13 16:15 8,17 61:12
73 82 15,20 2,4
Barry Castleman
Index
material 61:18
publications..rephrase publications..rephrase
regular 86:16
Raymond 50
RCI 48
reaction 75 read 4 18:21 4,11,18 31:14 38
52 65
reading 21 36:14 50:18 69:14
70:16 91
reads 87
regularly 21
regulate 80 87 89:18
regulating 66 80 11
regulation 23:16 36:18 44.14
regulations 13 15:21 42 44:21 2,13 46:20 53:21 4,22 1,4 75:22 2,3,4 79:23 81:22 4,16 88 6,9
real 5 42 82 reason 13:11 26:20 36:10 76 reasons 13:23 14:18 62:23 recall 7:18 11:23 18:19 19 29
32:24 42 62:21 11,21 74 75:14
90:20 receive 5:23 2,9 received 14 21 70
receiving 15:23
Recent 22:10 Recess 55:24
recipe 4,20 recipient 59 60 recognized 26 32
recommend 89:18 recommendation 80:22 89:16 90 recommendations 89:12 90 recommended 75 80:19 record 3:22 55:23 recorded 20:17 records 28:18 reelection 81 refer 10 59:21
referring 11 21:22 24:14 39:11 reflecting 54:21 regard 77 80:18 5,7 Register 81 5,9,10
Reichhold 3:21 4,14,20 3,9,17
22 6 9,11,20 4,13,19,23 9,21 11 12 15 6,9,14,19,21 21 28:14 7,12 30:24 1,17 40 11,16,18 1,2,9 1,7,17 44:20 10,22,23 10,16,18,22 48:20 49 50:10 1,6,9,14,17,19 54:23 24 6,17 57 59 62:13 63:19 76 5,13,14,15,21 1,21 79 10 5,11 85
Reichhold's 38:20
reinforced 61:13 77
rejected 89:15 relate 18 41:16 1,7 53 63
related 56:23 75:11
relates 41
relating 5:22 7:12 12:11 79:10
relation 79:19
relationship 40:22
release 41 65:22
releasing 72:21
relevance 30:20
relevant 30:11 31:17
relied 30 31:14
remember 10,12 12:20 17:19 18 removal 35:11 1,5,22 37:10 removed 35:13 37:12
removing 35:17 repair 88:19
rephrase 34
M
Mulerver xt Reporting
leva
>>
SUE rk
Miller Verbano Reporting
302.464.0880 --- 215.436.9336
Barry Castleman
Index replaced..sight replaced..sight
replaced 71:16
report 50:18 51 6 68:15 17,21
75 84:12
reported 68:16 84:21 reporters 69 reporting 68
reports 3,4,15 41 50 68:22
69 72 83:11 85:16
representations 2 representative 17 52:21 representatives 83:13
represented 5:21 19:17
requests 88:23
require 46:20 required 42:12 7,9,13,16 87:12 requirement 65.5,14 requirements 44:13 10,11,12,13
65
requiring 1,10
research 19 70 85:19
researching 28:16
residences 51:12 resin 3,11 19,21,23 15 17
18:13 43 63 76:10 78
reviewed 5:22 12,19 10:16 12:10 19,21,24 17:21 18 19 28:18 30 41 51:15 57:22 66:16 77:13
79
rid 90:12
rise 72:18
Rogers 9,14 43:19 76:12
room 6:17
section 24:15 8,17,20,21
sections 59:16
security 56:12 segment 5,8 segments 28 selecting 7:23 Selikoff 30:18 68 75 83 85:11
17
routine 90
sell 20:10
routinely 87
sellers 14:19 66 1 73
rule 81 21,23,24 making 90 rules 54:11 13,15 87:16
selling 14:21 20.20 60 75:12 send 5 58 74:17
sense 19:21 67:16 68:10
running 15,16
sentence 69:11
oe S
ee
September 21.23 10,21 53:10
serve 26
m 70
Service 22:11
sacks 73:20
safeguards 46:19
servicing 88:19
set 3
safely 75:21
safety 4,13,15 2,3 23:19 26 18,19 40 13,15 48:11 57 17,22,24 58 1,6,14,22 60
63:10 64:14 79:20 87:22 88:10
sales 28 75:17
setting 80
settings 88:18
share 28 sheet 5,14,15 40 48:11 6,16
23 1,7 1,6,14 60 63:10
resins 43 6,7 55:22
sampling 24:22 41 51:14 66:12
sheets 57:17
respect 29 39:21 45 64:13 65
Sc.d. 1
shift 51:19 52 18,22
77 88:13
respirators 42:13 54:14 responsible 8,14 58 responsiveness 4:23 16 21:19
25 37
restaurant 6:23
result 68:23
scenario 58:13 schedule 33 Schneider 12:17 scholar 8:13 science 10,12 16,19 9,20
22 84:21 Sciences 13,15
short 73:24 74
shortest 74 show 44:19 47:21 72 showed 7:23 3 48:15 70:18 showing 26:24 54:10 84:13 shown 17:15 29 7,11 43 48.21
49:15 8,11
resulting 22
scientific 10,16 90
shows 51:11 53 54:22
retained 5:24 29:20
scientist 8:13
sidebar 8:16
revealed 70 review 3:12 2 9:22 38:19 51:15
scope 78:24
sight 27:21
62:12 63:18
58:19
M
Milerve ob Reportag Reportag
dears
33
Reportag NS
Miller Verbano Reporting
302.464.0880 - 215.436.9336
signature 91 significance 51 84 significant 33:11 84:14 significantly 84:18 signing 91 signs 36
silica 35 37 68:24 2,15 silicosis 38:10 similar 27:13
simply 33 52:19 81:24 85 single 20:11 minded 88
sir 6 situation 66:13 situations 38 65:21 size 27:23 skin 37:19 38
skyscrapers 85:15 Slightly 52
small 49:14 smallest 45:15 smears 70:19 Smither 70 called 14:18 sold 13:21 14:16 15,17 17 28:17
somebody's 45:11
sort 27:19 42:17 4,7 52 sounds 25 source 67 sources 8:14 66:10 84:17
speaker 68:12 speaking 13:14 special 16 82:14 specialists 22:12 specific 4:20 6 9 11,12,17 29
Barry Castleman
Index
signature..table
12 42:11 61 73 78 79 8,10
studied 87:24 88:14
specifically 3,22 30 80:21
studies 22:11 75:10
specifications 76
study 36
spell 56:22 69:11 spelled 31 16,18 sprayed 85:14 Square 10:20 12,22 3,15 14:24
15 9,20,21 2,5 25:22 6,11 3,4,10,16,20,23 4,10 32:14 55:12 4,6 1,4,9,11,15,16,18,20 90:17
stages 35:11 36:23 37:11
stand 4:10
standard 12,13 48 22,23 5,14 59 3,5 15,18 1,2
subject 13 4,6 50 72:15 83:11
84:23 85:16 88 subscriber 21:15
subscriptions 86:17 subsequent 39:17 85:11
substance 70:21 substances 21:17 2,11,23 48
22,23 successor 12:14 sued 89:24
suggest 75
standards 45:10 77 78 80
suggested 81:12
standpoint 75
suggests 72:10
start 5
summarizes 44:13
started 74:14 82:11
starting 74:14 77:24
starts 68 state 11:10 11,20 26 32:14 33
10 2,8,10,17,21,24 35 39:21 state 3:18 83:24 stated 25:16 65:20 75:14
summary 66:19 67
supplied 17:13 supplier 18:12 76 suppliers 8,10,13,16 47:17 76:13 support 53:13 70 16
suppose 7 15:11 59:15 62 74-14 86:11
statement 3:24 13,17,18 22:16 23 40 45:20 65:11
statements 11:23 29:12 46
states 22:10 23:24 9,19 2,10 22 32:16 2,20 36:19 37 39:19 70:16
supposed 15:21 66:12 80:10
surfaces 37:20
surprise 39:18
survived 68 15 switch 12:24
statistically 13,18
statute 31:11
staying 68 stop 35:19
stories 85:18 street 22:24
strong 32
sworn 2
synthetic 63
T.A. 34:21 T.R. 44:11 table 48
M
Mulerver > to Reporting
Best
7
s
guided
761
Vy eA Tyee
Miller Verbano Reporting
302.464.0880 - 215.436.9336
tabular 48:22 talk 42:11 47 69:22 79 83:24 talked 7 30:16 36.5,6 84:20
talking 10 19:15 23:11 25:19 45:15
46:19 47
talks 21:24 technical 43:12 50:10 62
telling 74:10
tells 60
temporary 53:23 55
ten 19:16 27:23 55:12 tended 75 term 64 terms 3:16 8 9:17 16 26 27:17
32:20 36 49:22 50 56:11 81:24 82:16 83:23 84 85:18 87:15
terribly 32
test 51 testified 3 15,19 61:24 73
testify 22 77:10 testifying 10:22 testimony 9 16:24 19,23 49:19
51:16 56 57 58:24 62:12 63:19 78:13 79
testing 72:15
tests 51 text 48 73 textile 11,16
theory 19:24
thick 8:22
thing 5 20:21 30:22 32:13 8,14
21 58:14 64 74:24 82
things 12:24 14:15 21:13 32:19 41
46:16 11,17 59-6 61:23 67 80
82 87
thinking 14:23 30:16 15,24 90 Thompson 71 84:13 Thompson's 72
Barry Castleman
Index
tabular..versions
thought 48:23
thousands 72:14 threat 72 threshold 1,11 time 6:10 15 19 10,17 8,13
38:14 46:11 51:13 53:22 57:13 58:24 62:13 64 65:23 71:18 72:24 73:12 74 75:17 12,23 85:10 88
times 6,16,19 23,24 7,11,21 5,13 89:14
titled 33:20 47:24 TLV 24:23 TLVS 3,12,13,24 25:11 today 6:16 19 told 13:22 3,23 7,9,17 18:14
19:16 39:24 64 4,18 16,19 Tom 44:10 tonnage 71:13
top 48 topic 53
total 14:20 Town 70:18 Townes 50:13 toxic 21:17 64:15 22,23
toxicology 16,21 75
trade 8:24 14:17 20:22 21 28 secret 14:18
training 37:12
trial 12:19 22 trials 11,12
triggered 88:23
true 5 4 8:15 5,18 73:17 truth 8:14 22 tuberculosis 68 turn 67 71:20 90 turned 72
type 14:18 20 41:11 43:17 60:24
61:13 67 71:24 74
typed 59:20 types 69 typo 69:13 Typos 69:13
U
ultimately 71:12 87:14
unannounced 24:16 80:10 understand 13 44 46:13 60:21
7,11,20 66 understanding 53:20 67:19 80:24 understood 78 union 13,15,18 13,18,22 3,7
11 34:10 18,21 7,12,17 75 19,24 83:18 United 37 68
unqualified 57:21
unseen 27:22
upcoming 30:17 update 3:16 13,16 updated 3:10 39:12
urban 22:20 10,14 urban 71:24 usefulness 48:24 useless 77:14 users 84 usual 27:24
values 2,12 vapors 37:22 varieties 68:17 vary 40:16 version 5:17 versions 66:16
Milerve dt Reporting Reporting
I Tee 1
CX
Miller Verbano Reporting
302.464.0880 - 215.436.9336
view 81:21
vinyl 12
violation 25 visible 5,7,14 visit 50:19 vocational 35:12 37:11
W
W 68:13
W.J. 70
Wagner 13,16
waive 91 waived 91 Waldorf 83:10 wanted 16,22 warn 14
warning 39:21 12,16 62:13 63
11,22 2,7 6,7,11 2,3,13 7,10,13,15
warnings 20,24 6,9,22 73:21
81:23 Warren 50:13 waste 54:14
Watergate 81:12
watershed 84 ways 25 wear 42:13 week 8:24 15,18 6,9,15,21
52:20 11,18 81
weekly 66:19 67
weeks 53:22 welcomes 87 Welfare 80
Westinghouse 17,23 5,12,15
28 White 8,9 81
widespread 36:24 89
Barry Castleman
Wilson 34:21
wiped 68
withdraw 17:14 witnesses 10:23 78:19 83:24 word 27 57:18 80:20 words 40:17 work 28:16 88:19 worked 13 6,16 22:14 76 worker 22:23 5,15 35:17 1,6
64:15 workers 26 21,23 54:14 56:11
12,21,24 68 7,13 80 84
88:24
workers 31:11 1,6 34:11 35 38:17 88
working 50:21 workplace 26 6,7 workplaces 89:10
works 62 world 71:15
worsening 35:20
worst 66:13 worth 23
writing 35:23 90
written 86:23 wrong 31 12,16,19
Y
year 11,13 52:23 71:15 81:10 years 30 39:18 70:17 72
yesterday 7,10,13 31 47:20
York 23,24 7,11,18,21 82:20 21,22 8,10,22 2,3,5,13,15 86 12,14
Yorker 85:16 young 21:10 68
Index view..young view..young
M
Mulerver yt Reporting
Miller Verbano Reporting
302.464.0880 - 215.436.9336