Document JNDzxnr63oBnNMZ4x7DR098YZ
FILE NAME Reichhold REI
DATE 2014 DOC REI042
DOCUMENT DESCRIPTION Legal - Answers to Plaintiff's Interrogatories
IN THE CIRCUIT COURT FOR THE CITY OF ST LOUIS STATE OF MISSOURI
TWENTY SECOND JUDICIAL CIRCUIT
JEFF KOVAR
)
Plaintiff
)
)
VS.
)
Case No CC01123
)
UNION CARBIDE CORPORATION
)
et al
)
JURY TRIAL DEMANDED
Defendants
)
DEFENDANT REICHHOLD INC.'S OBJECTIONS AND ANSWERS
TO PLAINTIFF'S FIRST INTERROGATORIES
TO
Plaintiffs by and through their attorney of record Gerald J. FitzGerald O'Brien Law Firm P.C. 815 Geyer Avenue St. Louis Missouri 63104
Defendant Reichhold Inc. makes the following Objections and Answers to Plaintiff's FirstFirst Interrogatories
PRELIMINARY STATEMENT AND GENERAL OBJECTION
As a threshold matter Reichhold states that these responses are based upon facts known or
believed by Reichhold at the time ofanswering these discovery requests These discovery responses are made pursuant to a reasonable and diligent investigation and search for the information requested Reichhold reserves the right to amend these responses if new or additional information
becomes available to it
Thousands of employees have worked at Reichhold over the years In conducting business Reichhold has created many documents kept in numerous geographic locations that have been moved as required Accordingly Reichhold does not represent that the answers contained herein provide all information requested rather these answers reflect information obtained before this date by Reichhold pursuant to a reasonable and diligent search and investigation in those areas where this
information was expected to be found To the extent that the interrogatory purports to require more Reichhold objects on the grounds that compliance with the interrogatory is not feasible and would
impose an undue burden or expense
Plaintiffs may have some pertinent documents perhaps even some Reichhold documents not in Reichhold's possession Reichhold objects to these discovery requests on the grounds that it would be less burdensome more convenient and less expensive for Plaintiffs to identify what documents Plaintiffs already have that may fall within the scope of these discovery requests This would accomplish several purposes ) it would obviate Reichhold having to search for and copy documents already in Plaintiffs possession 2 it would enable Reichhold to use the documents
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provided as guides in looking for related material and 3 it would if the purpose is to obtain authentication enable Reichhold to authenticate the copies provided by you without having to
conduct an uninformed search for the documents
Reichhold also objects to Plaintiffs discovery requests to the extent they seek information
regarding any Reichhold facility or operation located outside ofthe United States Reichhold states that its discovery responses herein are limited to Reichhold's operations located within the United
States
II
The objections set forth herein are hereby incorporated into all ofthe subsequent responses as if fully set forth in each particular answer and response where appropriate
III
Subject to the foregoing objections and without waiving same Reichhold answers as follows
ANSWERS TO INTERROGATORIES
1.
Identify the person verifying these Answers on behalf of Defendant including their full
name address length of employment with this Defendant and current job title
Answer
Reichhold objects that this Interrogatory seeks information protected from disclosure by the right to privacy Reichhold also objects that this Interrogatory seeks information that is neither relevant nor reasonably calculated to lead to the discovery of admissible evidence Subject to and without waiving these objections see verification attached hereto
2
Identify by full name address and job title your Custodian of Business records
Answer
Reichhold objects that this Interrogatory seeks information protected from disclosure by the right to privacy Reichhold also objects that this Interrogatory seeks information that is neither relevant nor reasonably calculated to lead to the discovery of admissible evidence Subject to and without waiving these objections Reichhold reserves its right to supplement this Interrogatory as
needed
3
Has Defendant ever had a document retention policy your Answer is yes identify the
date of each such policy and specify its document retention requirements
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Answer
Reichhold objects to this Interrogatory as compound impermissibly vague overly broad unduly burdensome and harassing Reichhold also objects to this Interrogatory because it is not relevant and not reasonably calculated to lead to the discovery of admissible evidence
Subject to and without waiving these objections Reichhold states that it has a current document retention policy However and responding further Reichhold's former Carteret New Jersey facility commercially manufactured molding compounds that may have contained short chrysotile in a bonded matrix Reichhold states that it sold its molding compound business to BTL Specialty Resins in June 1986. The terms of the sales agreement between Reichhold and BTL required Reichhold to transfer all documents pertaining to its molding compound operations to BTL
4
With respect to Defendant please identify
a
The full and correct name
b
All names by which Defendant has been known or has conducted business and the
dates during which it has been known by or conducted business under each such
name
^d
The principal place of business
^d
Each state in which Defendant maintains an office for the usual and customary
transaction of business
04i
The present state of incorporation
04i
Whether Defendant is authorized to transact business in the State ofMissouri and if
so the date such authority was first issued and last renewed and
g
The location of each agent representative and place of business in Missouri
Answer
Reichhold objects to this Interrogatory as compound impermissibly vague overly broad unduly burdensome and harassing Reichhold also objects to this Interrogatory because it is not relevant and not reasonably calculated to lead to the discovery of admissible evidence
Subject to and without waiving these objections Reichhold states that it was originally incorporated in or about 1930 as Beck Koller & Company Inc. Its name was changed to Reichhold Chemicals Inc. in 1938. Reichhold Chemicals Inc. became Reichhold Inc. on or about February 10 1998. Reichhold is a Delaware corporation with its principal place ofbusiness at 1035 Swabia Court Durham NC 27703
Reichhold is authorized to conduct business in the State of Missouri Reichhold currently owns and operates one manufacturing facility in Missouri The address is 249 St. Louis Avenue Valley Park Missouri 63088. To the best of its knowledge Reichhold has never manufactured any containing products at this facility and neither the facility itself nor any products
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manufactured by this facility are at issue in this case
Reichhold's current registered agent for service of process in Missouri is CSC Lawyers
Incorporating Service Company 221 Bolivar Street Jefferson City Missouri 65101
5.
Identify by full and complete trade name all thermoset plastics thermo plastic plastic resin
and plastic compound materials which you or any predecessor entity has at any
time
a
Designed or contracted to design
b
Manufactured or contracted to manufacture
C.
Processed or prepared or contracted to process or prepare
d
Sold or contracted to sell
e
Distributed or contracted to distribute
f
acquire sic
Answer
Reichhold objects to this Interrogatory as compound impermissibly vague overly broad unduly burdensome and harassing Reichhold also objects to this Interrogatory because it is not relevant and not reasonably calculated to lead to the discovery of admissible evidence
Subject to and without waiving these objections Reichhold commercially manufactured molding compounds at its former Carteret New Jersey facility starting in approximately 1964. Some
of those molding compounds contained short chrysotile in a bonded matrix This chrysotile
asbestos added strength and heat resistance to molded plastic products
From the time Reichhold began commercially manufacturing molding compounds in 1964 it
always manufactured some compounds that did not contain chrysotile asbestos Reichhold began
phasing out the use of chrysotile in 1974 and believes the phase was influenced by thenanticipated changes in government regulations on permissible levels of exposure during the manufacturing of such compounds The ability to phase out asbestos in all molding compounds was impacted by the lack of adequate asbestos substitute materials for all types of compounds and customer resistance to molding compounds for certain applications that did not contain asbestos Reichhold believes it completed the phase out of asbestos in molding compounds by the end of 1980 or early 1981. Reichhold discontinued asbestos usage because of increased difficulty and cost of complying with OSHA regulations regarding the use of asbestos as a raw material at its Carteret New Jersey manufacturing facility
Reichhold no longer manufactures molding compounds because Reichhold sold the molding
compounds business in June 1986
Reichhold believes that its molding compounds were sold packaged in bags drums or Gaylords bearing the name Reichhold Chemicals Inc. or RCI Reichhold's molding compounds were granular in texture They were made with an exclusive extrusion process that historical
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documents described as dust free
Reichhold affixed labels to packages that said in pertinent part Avoid breathing dust or vapors Avoid contact with skin and eyes Use only with adequate ventilation Use protective equipment and clothing for continued handling and to avoid breathing dust or vapors . READ MATERIAL SAFETY DATA SHEET BEFORE USING Reichhold has a copy of a Material Safety Data Sheet dated January 1980 for approximately seven containing molding compounds that said in pertinent part While it would not be expected that under normal handling and use of this compound free asbestos fiber would be released subsequent processing such as drilling sanding milling and filing may release asbestos fibers Refer to Section Asbestos 1910.1001 of the Occupational Safety and Health Regulation Reichhold also believes that in or by 1972 packages of containing molding compounds came with a warning that said Caution Contains Asbestos Fibers Avoid Creating Dust Breathing Asbestos Dust May Cause Seriously Bodily Harm
Reichhold does not possess any documents that enable it to determine the precise date of initial issuance of warning labels and Material Safety Data Sheets MSDS The MSDS for the Phenolic Molding Compounds contained the following statements among others Section IV Fire and Explosion Hazard Data Wear contained breathing apparatus if fighting fire in a confined area such as a warehouse Dust mixtures are explosive Section V Health Hazard Data For asbestos - 2 fibers per cc air Fine dust may occur when handling Use a respirator at all times when handling to avoid breathing dust Wear gloves when handling Wash before smoking or eating In
contact with skin wash with soap and water at first opportunity Flush eyes with plenty ofwater for at least 15 minutes Section VII Spill or Leak Procedures Vacuum or sweep up Use sweeping compound to avoid creating dust Ventilate area well Wear respirator if dust is generated Waste
disposal method 1 incinerate 2 land fill in accordance with State and Federal regulations
Section VIII Special Protection Information Respirator for nuisance dust and if asbestos fibers released Chemical resistant plastic or rubber gloves recommended Wear chemical goggles at all
times Dust collection should be included as part of mechanical ventilation Section IX Special Precautions Avoid exposure to temperature extremes and moisture Both affect product
performance Do not breathe heated vapors from molding process
Asbestos fibers in molding compounds are encapsulated in a bonded matrix and thus would not be released under normal handling and use ofmolding compounds While initial OSHA asbestos regulations did not require warnings on such products Reichhold still included the standard OSHA warnings on packages of molding compound in an abundance of caution
6
For each asbestos thermoset plastics thermo plastic plastic resin and plastic compound
materials referred to in Answer 5 above identify whether asbestos was ever an ingredient
Answer
Reichhold objects to this Interrogatory as compound impermissibly vague overly broad unduly burdensome and harassing Reichhold also objects to this Interrogatory because it is not
relevant and not reasonably calculated to lead to the discovery of admissible evidence Subject to and
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C
without waiving these objections see Reichhold's answer to Interrogatory No. 5 above
7
For each asbestos thermoset plastics thermo plastic plastic resin and plastic compound
materials referred to in Answer 5 above identify the following
a
The product's packaging
b
Writing that appears on the product packaging including any logos
c
Colors of products packaging and colors of writing , including logos on product's
packaging
d
The name and current or last known address of each current or former employee
with knowledge of the design manufacturing and sale of asbestos containing
products
Answer
Reichhold objects to this Interrogatory as compound impermissibly vague overly broad unduly burdensome and harassing Reichhold also objects to this Interrogatory because it is not relevant and not reasonably calculated to lead to the discovery of admissible evidence Subject to and without waiving these objections see Reichhold's answer to Interrogatory No. 5 above Responding further Reichhold personnel responsible for warnings and MSDS for molding compounds include
former employees Tom Madden and Charles Windsor deceased
8
If you have stopped producing distributing and selling any of the asbestos thermoset
plastics thermo plastic plastic resin and plastic compound materials listed in Answer 5
state for each product
J^^
The reason you stopped
J^^
The date you stopped
J^^
Whether any studies were conducted before you directed that production and sale to
be stopped and if so identify each such study by title date author and subject
matter
Answer
Reichhold objects to this Interrogatory as compound impermissibly vague overly broad unduly burdensome and harassing Reichhold also objects to this Interrogatory because it is not
relevant and not reasonably calculated to lead to the discovery ofadmissible evidence Subject to and without waiving these objections see Reichhold's answer to Interrogatory No. 5 above Responding further see documents produced by Reichhold
9
State whether any brochures writing or other materials written or photographic were made
available to distributors drywall commercial buyers installation workers users
or the general public concerning the design manufacture distribution selling installation
and use of the asbestos thermoset plastics thermo plastic plastic resin and plastic
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compound materials referred to in Answer 5. For each such brochure or material identify the material author date and present location and custodian
Answer
Reichhold objects to this Interrogatory as compound impermissibly vague overly broad unduly burdensome and harassing Reichhold also objects to this Interrogatory because it is not relevant and not reasonably calculated to lead to the discovery ofadmissible evidence Subject to and
without waiving these objections see Reichhold's answer to Interrogatory No. 5 above Responding
further see documents produced by Reichhold
10
Between 1958 and 1978 did you or any predecessor entity sell or deliver any material or
products to the Square D Facility located in Cedar Rapids Iowa If your Answer is yes
identify
a
Type brand name full name and complete trade name of each product sold
.
and delivered to facility
b
The dates on which each product identified in a was sold and delivered to
the facility
c | Which products identified in a contained asbestos as any part ingredient or
component
d
The type grade brand name full name and complete trade name of asbestos
in each product identified in a
e
The products package
f
Writing that appears on the product packaging including logos
g Colors of products packaging and colors of writing including logos on
product's packaging
h Each entity from which you or any predecessor entity acquired each product identified in a for sale or delivery to the facility
)
Each warning which you provided with each product identified in a and
(
All persons who were involved with or who have knowledge of the sale or
delivery of each product identified in a Specify which person is the most
knowledgeable concerning each product at the facility
Answer
Reichhold objects to this Interrogatory as compound impermissibly vague overly broad unduly burdensome and harassing Reichhold also objects to this Interrogatory because it is not relevant and not reasonably calculated to lead to the discovery of admissible evidence
Subject to and without waiving these objections Reichhold's former Carteret New Jersey facility commercially manufactured molding compounds that may have contained short chrysotile in a bonded matrix Reichhold states that it sold its molding compound business to BTL Specialty Resins in June 1986. The terms of the sales agreement between Reichhold and BTL
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required Reichhold to transfer all documents pertaining to its molding compound operations to BTL
Accordingly records and information which might be responsive to this Interrogatory if any ever existed are no longer in Reichhold's possession
11
Between 1958 and 1978 did you or any predecessor entity have any contracts or agreements
with any entity to provide sell or supply materials or products to the Square D Facility
located in Cedar Rapids Iowa If your Answer is yes identify
a
The date of each contract or agreement
b Each entity with which you or any predecessor entity had each agreement
c
The materials or products provided sold or supplied to each entity identified
in b at each location
d
The name address job title and employer of all persons who were involved
with or who have knowledge of each contract or agreement Specify which person is the most knowledgeable concerning each subject matter
Answer
Reichhold objects to this Interrogatory as compound impermissibly vague overly broad
unduly burdensome and harassing Reichhold also objects to this Interrogatory because it is not
relevant and not reasonably calculated to lead to the discovery of admissible evidence Subject to and without waiving these objections see Reichhold's answer to Interrogatory No. 10 incorporated
herein
12.
With respect to any product you or any predecessor entity sold or distributed to the Square D
Facility located in Cedar Rapids Iowa between 1958 and 1978 did you or any predecessor
entity ever provide to anyone any warning or caution or like information concerning any of
the following
a b
c d
Answer
Asbestos or containing products
Possible health effects hazards or any other risks associated with exposure
to asbestos or containing materials
Threshold limit values of exposure to asbestos and
| Recommendations related to working with or around asbestos or asbestos-
containing materials
Reichhold objects to this Interrogatory as compound impermissibly vague overly broad unduly burdensome and harassing Reichhold also objects to this Interrogatory because it is not
relevant and not reasonably calculated to lead to the discovery ofadmissible evidence Subject to and without waiving these objections see Reichhold's answer to Interrogatory No. 10 incorporated
herein
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13
At any time between 1958 and 1978 did you sell deliver or have contracts to provide a
phenolic compound theromoset plastic resin and plastic compound material
identified as 25310 25346 25347 25338 25397 25398 25506 92936 and 92506 to the
Square D Facility located in Cedar Rapids Iowa If so for each state
a
The dates on which it was sold and delivered to the facility
b
The amount delivered on each date identified in a
c
The type grade brand name full name and complete trade name of asbestos
in the phenolic compound theromoset plastic resin and
plastic compound material ;
d The products package
, Writing that appears on the product packaging including logos , Colors of products packaging and colors of writing including logos on
product's packaging
How it was delivered to the facility
Each warning which you provided with the product and
All persons who were involved with or who have knowledge of the sale or delivery of the phenolic compound theromoset plastic resin and plastic compound material
Answer
Reichhold objects to this Interrogatory as compound impermissibly vague overly broad unduly burdensome and harassing Reichhold also objects to this Interrogatory because it is not
relevant and not reasonably calculated to lead to the discovery ofadmissible evidence Subject to and
without waiving these objections see Reichhold's answer to Interrogatory No. 10 incorporated
herein
14
Between 1978 and 1995 did you or any predecessor entity sell or deliver any material or
products to the Square D Facility located in Springfield Missouri Ifyour Answer is yes
identify
a
Type brand name full name and complete trade name of each product sold
and delivered to the facility
b
The dates on which each product identified in a was sold and delivered to
the facility
c
Which products identified in a contained asbestos as any part ingredient or
component
d
The type grade brand name full name and complete trade name ofasbestos
in each product identified in a
e The products package
f
Writing that appears on the product packaging including logos
g Colors of products packaging and colors of writing including logos on
product's packaging
h
Each entity from which you or any predecessor entity acquired each product
identified in a for sale or delivery to the facility
i
Each warning which you provided with each product identified in a and
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(
Answer
All persons who were involved with or who have knowledge of the sale or delivery of each product identified in a Specify which person is the most knowledgeable concerning each product the facility
Reichhold objects to this Interrogatory as compound impermissibly vague overly broad unduly burdensome and harassing Reichhold also objects to this Interrogatory because it is not relevant and not reasonably calculated to lead to the discovery of admissible evidence
Subject to and without waiving these objections Reichhold's former Carteret New JerseyJersey facility commercially manufactured molding compounds that may have contained short chrysotile in a bonded matrix Reichhold states that it sold its molding compound business to BTL Specialty Resins in June 1986. The terms of the sales agreement between Reichhold and BTL required Reichhold to transfer all documents pertaining to its molding compound operations to BTL Accordingly records and information which might be responsive to this Interrogatory if any ever existed are no longer in Reichhold's possession
15
Between 1978 and 1995 did you or any predecessor entity have any contracts or agreements
with any entity to provide sell or supply materials or products to the Square D Facility
located in Springfield Missouri If your Answer is yes identify
a
The date of each contract or agreement
b _ _Each entity with which you or any predecessor entity had each agreement
c
The materials or products provided sold or supplied to each entity identified
in b at each location
d
The name address job title and employer of all persons who were involved
with or who have knowledge of each contract or agreement Specify which person is the most knowledgeable concerning each subject matter
Answer
Reichhold objects to this Interrogatory as compound impermissibly vague overly broad unduly burdensome and harassing Reichhold also objects to this Interrogatory because it is not relevant and not reasonably calculated to lead to the discovery of admissible evidence Subject to and without waiving these objections see Reichhold's answer to Interrogatory No. 14 incorporated
herein
16
With respect to any product you or any predecessor entity sold or distributed to the Square D
Facility located in Springfield Missouri between 1978 and 1995 did you or any
predecessor entity ever provide to anyone any warning or caution or like information
concerning any of the following
a Asbestos or containing products
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b 33 33
Answer
Possible health effects hazards or any other risks associated with exposure
to asbestos or containing materials Threshold limit values of exposure to asbestos and
Recommendations related to working with or around asbestos or asbestos-
containing materials
Reichhold objects to this Interrogatory as compound impermissibly vague overly broad unduly burdensome and harassing Reichhold also objects to this Interrogatory because it is not
relevant and not reasonably calculated to lead to the discovery ofadmissible evidence Subject to and without waiving these objections see Reichhold's answer to Interrogatory No. 14 incorporated
herein
17
At any time between 1958 and 1978 did you sell deliver or have contracts to provide a
phenolic compound theromoset plastic resin and plastic compound material
identified as 25310 25346 25347 25338 25397 25398 25506 92936 and 92506 to the
Square D Facility located in Springfield Missouri If so for each state
a
The dates on which it was sold and delivered to the facility
b
The amount delivered on each date identified in a
(c)
The type grade brand name full name and complete trade name ofasbestos
in the phenolic compound theromoset plastic resin and
plastic compound material ;
<The products package
39
Writing that appears on the product packaging including logos
39
Colors of products packaging and colors of writing including logos on
product's packaging
033
How it was delivered to the facility
033
Each warning which you provided with the product and
033
All persons who were involved with or who have knowledge of the sale or
delivery of the phenolic compound theromoset plastic resin
and plastic compound material
Answer
Reichhold objects to this Interrogatory as compound impermissibly vague overly broad
unduly burdensome and harassing Reichhold also objects to this Interrogatory because it is not
relevant and not reasonably calculated to lead to the discovery of admissible evidence Subject to and without waiving these objections see Reichhold's answer to Interrogatory No. 14 incorporated
herein
18
Has Defendant ever provided to anyone a warning or caution concerning any of the
following
a Asbestos or containing thermoset plastic materials
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b c d
Answer
Possible health effects hazards or any other risks associated with exposure
to asbestos or containing thermoset plastic materials
Threshold limit values of exposure to asbestos and
Recommendations related to working with or around asbestos or asbestos-
containing thermoset plastic materials
Reichhold objects to this Interrogatory as compound impermissibly vague overly broad unduly burdensome and harassing Reichhold also objects to this Interrogatory because it is not
relevant and not reasonably calculated to lead to the discovery ofadmissible evidence Subject to and
without waiving these objections see Reichhold's answer to Interrogatory No. 5 incorporated
herein
19 If your Answer to the preceding interrogatory is yes identify
a
The date the first warning or caution was provided
b
The content of the warning or caution
c
The date of each change of the warning or caution and
d | The changes made on each date identified in c
Answer
Reichhold objects to this Interrogatory as compound impermissibly vague overly broad
unduly burdensome and harassing Reichhold also objects to this Interrogatory because it is not
relevant and not reasonably calculated to lead to the discovery ofadmissible evidence Subject to and
without waiving these objections see Reichhold's answer to Interrogatory No. 5 incorporated
herein
20
Has Defendant ever placed a caution advisory or warning related to asbestos thermoset
plastics thermo plastic plastic resin and plastic compound materials If your answer is
yes identify
a
type brand name full name and complete trade name of each product on
which a caution advisory or warning was placed
b
The date on which the caution advisory or warning was first placed on each
product identified in a
c
The exact wording location and size of the caution advisory or warning
which was first placed on each product identified in a and
d
Pursuant to Missouri Rule of Civil Procedure 56.01 identify and
provide the location of each p erson whom you believe has knowledge ofthe
caution advisory or warning identified herein
oe
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Answer
Reichhold objects to this Interrogatory as compound impermissibly vague overly broad unduly burdensome and harassing Reichhold also objects to this Interrogatory because it is not relevant and not reasonably calculated to lead to the discovery of admissible evidence Subject to and without waiving these objections see Reichhold's answer to Interrogatory No. 5 incorporated herein
21
Identify the date on which the Defendant first became aware that exposure to asbestos could
cause
a Mesothelioma
b
c
Lung cancer and Asbestosis
Answer
Reichhold objects to this Interrogatory as compound impermissibly vague overly broad unduly burdensome and harassing Reichhold also objects to this Interrogatory because it is not relevant and not reasonably calculated to lead to the discovery of admissible evidence
Subject to and without waiving the foregoing objections Reichhold denies that chrysotile in bonded matrix such as is found in molding compounds causes mesothelioma or any asbestosrelated diseases based on published scientific information Reichhold does not currently know when it first received information about the potential dangers from breathing some forms of asbestos fibers Reichhold generally received information on regulations promulgated by federal OSHA on topics of workplace safety Reichhold is aware of an internal memorandum dated December 22 1971 that includes as attachments a copy ofthe asbestos OSHA regulations section 29 CFR 1910.93a and an April 1 1970 Asbestos Toxicology Report from Union Carbide
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Respectfully submitted
By
Tracy J. Cowan 40229 Reno R. Cova III 57155
10 S. Broadway Suite 1300 St. Louis MO 63102
Phone 314-678-8600
Fax 314-678-8686
tcowan@hptylaw.com rcova@hptylaw.com
Attorneys for Defendant
Reichhold Inc.
OF COUNSEL HAWKINS PARNELL THACKSTON & YOUNG LLP
84699v.1
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STATE OF NORTH CAROLINA
COUNTY OF DURHAM
) SS )
JOHN OLDHAM of lawful age and being first duly sworn on his oath states that the above
Objections and Answers to Plaintiff'sPlaintf's First Interrogatories KOVAR KOVAR of Defendant Reichhold Inc.
are true and correct to the best of his knowledge information and belief
REICHHOLD INC
JOHN OLDHAM
Title Director of Site Remediation
SUBSCRIBED AND SWORN TO before me this
it day of APRIL 2014
----,--...
My Commission Expires
Nov. 2014
Notary Public
----,--...
Defendant Reichhold Inc.'s Objections and Answers to Plaintiffs First Interrogatories