Document KGXYJ5Lgyox0gK5zzZ99xpee0
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NO.741 P003/099
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PARA ATTY Cl;
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1 PATRICK J. HAGAN, ESQ. (Stale Bar #68264)
2 E. JANE WELLS, ESQ. (State Bar #112178) DILLINGHAM & MURPHY
3 225 Bush Street, Sixth Floor
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San Francisco, CA 94104-4207 4 (415) 397-2700
JUL 2 3 1997
BRAYTON HASl^' HANO__ 0VRNivif*< -O
5 Attorneys for Defendant
FOS
6 KAISER GYPSUM COMPANY, INC. VERIF
7 LDF rnn^c____
0 SUPERIOR COURT FOR THE STATE OF CALIFORNIA
9 FOR THE COUNTY OF SAN FRANCISCO
IN RE: SAN FRANCISCO COUNTY COMPLEX ASBESTOS LITIGATION
CASE NO. 828684
KAISER GYPSUM COMPANY, INC/S RESPONSES TO PLAINTIFFS' STANDARD INTERROGATORIES TO ALL DEFENDANTS
15
16
17 PROPOUNDING PARTY :
18 RESPONDING PARTY :
19 SET
:
20 DATE
:
Plaintiffs Defendant Kaiser Gypsum Company, Inc. Standard
21 COMES NOW defendant Kaiser Gypsum Company, Inc. (hereinafter "Kaiser
22 Gypsum"), and provides the following responses to Plaintiffs' Standard Interrogatories
23 To All Defendants propounded pursuant to San Francisco County Complex Asbestos
24 Litigation General Order No. 129:
25 KAISER GYPSUM'S PRELIMINARY STATEMENT
26 Kaiser Gypsum submits this preliminary statement to memorialize certain steps
27 taken to implement the standard discovery regime adopted pursuant to the revised
23 General Orders filed November 15, 1996 governing asbestos-related personal injury
PLAINTIFF'S EXHIBIT
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1 and wrongful death cases filed in San Francisco County Superior Court. Under the 2 terms of General Order No. 129, all defendants must respond to the Plaintiffs* Standard 3 Interrogatories To All Defendants without objection, even where those interrogatories
4 appear objectionable under the rules defined by California statutes and appellate
5 | precedent. The General Orders do contemplate that plaintiffs* counsel must meet and
6 confer with defendants and consider a specific defendant's concerns with the standard
7 interrogatories as applied to that defendant's factual and litigation circumstances. In
8 Kaiser Gypsum's case, that process proved sufficiently successful that Kaiser Gypsum
9 did not believe it necessary to file a motion seeking judicial relief from the
10 burdensomeness that would arise in Kaiser Gypsum's circumstances from responding
11 to the literal terms of the discovery.
12 The meet and confer process was structured pursuant to an April 24,1997 letter 13 circulated by plaintiffs* counsel. In accordance with that procedure, Kaiser Gypsum 14 held a meet and confer session with certain plaintiffs' counsel on May 15,1997. as 15 contemplated by their Apnl 24 letter. During that session agreements were reached on IS interpretations of numerous specific provisions of the subject standard interrogatories 17 which have since been concurred In by plaintiffs' counsel that did not attend the May 15 18 meeting. Kaiser Gypsum's non-pursuit of its burdensomeness objections remains 19 contingenton continued realization of the agreements reached at the May 15 meeting. 20 Kaiser Gypsum also stated other objections to the subject Plaintiffs' Standard 21 Interrogatories during the course of the proceedings leading to their adoption. Those 22 objections concerned both the concept of using standard interrogatories for discovery 23 unrelated to the resolution of cases or controversies before the Court, objections to the 24 procedures underlying the development and adoption of the Standard Interrogatories, 25 and objections to specific aspects of the Standard Interrogatories on grounds other than 26 burdensomeness, all of which objections were either accepted or implicitly rejected 27
through adoption of the final Standard Interrogatories Kaiser Gypsum hereby makes 28 express on the record that by serving its Responses to Plaintiffs* Standard
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1 Interrogatories To All Defendants, Kaiser Cement neither intends to nor does it waive its 2 rights to press those objections at an appropriate future opportunity, both in the context 3 of specific cases before the Superior Court and on appellate review.
4 Kaiser Gypsum objects to these interrogatories to the extent that they caff for
5 information protected by the attomey/dient privilege or work product doctrine.
6 This Preliminaiy Statement and the objections contained herein are incorporated
7 into each of the responses set forth below. 8 KAISER GYPSUM'SJgESPONSES TO INTERROGATORIES
9 Kaiser Gypsum was constituted in 19S2 and has been headquartered in 10 California since that date. Kaiser Gypsum disposed of its last operating manufacturing 11 plant In August 1978 and subsequently has not engaged in manufacturing or product 12 sates anywhere in the United States. Thus, all Kaiser Gypsum product sales occurred 13 between 1952 and 1978. Therefore, Kaiser Gypsum's responses to plaintiffs' standard 14 interrogatories are based almost entirely on its ongoing review of documents that are 15 presently available to it. These interrogatory responses reflect Kaiser Gypsum's 16 knowledge at this time and supersede any previous interrogatory answers. Kaiser 17 Gypsum reserves the right to further supplement these responses in the event that 18 more complete or accurate information becomes available. 19 RESPONSE TO INTERROGATORY WO. 1: 20 Joseph R. Hobby, Vice President, 2680 Bishop Drive, Suite 225, San Ramon, 21 California 94583. 22 RESPONSE TO INTERROGATORY NO. 2: 23 12/1/95 - present: Vice President 24 RESPONSES INTERROGATORY NO. 3: 25 Kaiser Gypsum is a corporation. 26 A. its full and correct corporate name is Kaiser Gypsum Company, Inc. 27
B. Kaiser Gypsum is incorporated under the laws of the State of Washington.
2S
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1 C. Kaiser Gypsum was organized in 1952 through a somewhat complicated 2 process. Specifically, on June 19,1952, Permanente Cement Company (iater known
3 as Kaiser Cement Corporation) formed a wholly owned subsidiary named Kaiser
4 Gypsum Company, a California Corporation. On August 1.1952 Kaiser Gypsum
5 Company purchased from the Henry J. Kaiser Company two gypsum wallboard plants
6 located at Long Beach and Redwood City, California.
7 On December 1,1952, Kaiser Gypsum Company was merged into Pacific Coast
8 Cement Company, another subsidiary of Permanente Cement Company, with Pacific
9 Coast Cement Company, a Washington Corporation, which at the time of the merger
10 had no assets or operations and which was incorporated on November 28,1927, being
11 the survivor. The name of the combined company was then changed to Kaiser
12 Gypsum Company, Inc.
13 D. Kaiser Gypsum's principal place of business is located at 3000 Busch Road.
14 Pleasanton, California 94566.
. IS
6. Kaiser Gypsum has held a certificate of authority to do business in California
16 from 1952 to the present.
17 F. Kaiser Gypsum is a wholly owned subsidiary of Kaiser Cement Corporation, 18 whose principal place of business is located at 3000 Busch Road, Pleasanton, 19 California 94566.
20 G. 3000 Busch Road, Pleasanton. California 94566 21 RESPONSE TO INTERROGATORY NO. 4r
22 No. 23 RESPONSE TO INTERROGATORY NO. 5: 24 Not applicable. 25 RESPONSE TO INTERROGATORY NO. 6: 26 Not applicable. 27 RESPONSE TO INTERROGATORY NO. 7: 28 Not applicable.
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1 RESPONSE TO INTERROGATORYHO. 8l 2 Not applicable. 3 RESPONSE TO INTERROGATORY NO. 9:
4 Joseph R. Hobby, Vice President, 2680 Bishop Drive, San Ramon, California.
5 RESPONSE TO INTERROGATQRYLNO..10:
6 A - C: Joseph R. Hobby, Vice President, 2680 Bishop Drive, San Ramon,
7 California. 8 RESPONSE TO INTERROGATORY NO. 11:
9 Kaiser Gypsum has no knowledge that it ever employed a company "physician"
10 or ''medical director." During the early 1970's, Mr. A. J. Trommershausen, an industrial
11 hygienist, who was not an employee of Kaiser Gypsum, was retained by Kaiser 12 Gypsum as a consultant to conduct manufacturing on and air sampling tests to evaluate 13 and ensure compliance with new U.S. -Occupational Safety and Health Administration 14 requirements, 15 RESPONSE TO INTERROGATORY NO. 12: 16 William L. McKinnon, former Senior Research Engineer, was deposed on August 17 2. 1984 in the following case: Robert Butts v. Kaiser Gvosum Company. Inc., et al.. 18 Contra Costa County Superior Court Case No. 251401. 19 Harlan C. Dupuis, former Manager of Research and Development, was deposed 20 on April 16.1985, in the following case: Katherine Maksim v. U S. Gvosum. et al.. San 21 Francisco County Superior Court Case No. 768674. 22 Melissa A. Youngman, former Secretary/Treasurer, was deposed on March 4 23 and 5,1993, in the following cases:* Donald Breslin v. ABEX. et aL. San Francisco 24 County Superior Court, Case No. 943928; Cov Cossev v. ABEX. et al.. San Francisco 25 County SuperiorCourt, Case No. 920148; Norma E. Olsen v. ABEX. et al.. San 26 Francisco County Superior Court, Case No. 914076; Lynn Weimer v. ABEX. et al.. San 27
Francisco County Superior Court, Case No. 914594; and Rav Peraon v. ABEX, et at.. a
San Francisco County Superior Court. Case No. 944872.
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1 Thomas V. Smith, former Technical Supervisor for Accessory Products, was 2 deposed on March 11,1992. in the following case: Michael F. Richie, et al. v. 3 Raybestos-Manbattan. et aL San Francisco County Superior Court, Case No. 933324.
4 Joseph R. Hobby, Vice President, was deposed on April 25,1997 in the
5 following case: Harry. aocLGIadvs Dato v. Abex Coro., et al.. San Francisco County
6 Superior Court, Case No. 948558.
7 RESPONSE TO INTERROGATORY NO. 13:
a A * U: No.
9 V: Kaiser Gypsum was a member of the Gypsum Association which in
10 the past included among its members manufacturers, suppliers, and/or sellers of
n asbestos-containing products.
12 W: Kaiser Gypsum is not aware that any one individual served as its
13 representative to the Gypsum Association.
14 RESPONSE TO INTERROGATORY NO. 14:
15 A. The precise dates of Kaiser Gypsum's membership in the Gypsum
16 Association are unknown. It is believed that such membership extended from
17 the 1950's to approximately 1977.
`
18 S. Kaiser Gypsum occasionally received minutes of meetings and other
19 informational literature from the Gypsum Association
20 C. Kaiser Gypsum will make Gypsum Association minutes and any asbestos-
21 related informational literature received from the Gypsum Association in its possession 22 which may contain the information requested tn this interrogatory subpart available for 23 inspection upon reasonable notice et the offices of Dillingham & Murphy, 225 Bush 24 Street, 6th Floor, San Francisco, California. 25 RESPONSE TO INTERROGATORY NO. IS: 26
A. Kaiser Gypsum has no knowledge that it ever received documents 27
containing results or conclusions of any such studies and/or tests prior to 1973 28 fu
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1 RESPONSES) INTERROGATORY NO. IS: 2 A. Kaiser Gypsum has no knowledge that it ever received copies or portions of
3 any such studies and/or tests prior to 1973. Kaiser Gypsum has never been insured by
4 Metropolitan Life Insurance Company.
5 RESPONSE TO INTERROGATORY NO. 17l
6 A. Kaiser Gypsum has no knowledge that it ever received documents
7 containing results or conclusions of the Saranac Laboratory studies or any such studies
6 conducted by any other laboratory prior to 1973.
9 RESPONSE IQ INTERROGATORY NO. 18; 10 A. Kaiser Gypsum has no knowledge that it ever maintained a library or other
11 company-authorized collection of printed material on occupational disease or asbestos 12 hazards pnorto 1973. 13 RESPONSE TO INTERRO.GAIORY_NQe.19: 14 A and B: During the early 197Q's, Mr. A. J. Trommershausen, an industrial 15 hygienist, was retained by Kaiser Gypsum as a consultant to conduct plant inspection 16 and air sampling tests to evaluate and ensure compliance with U.S. Occupational 17 Safety and Health Administration requirements. 18 On December 27,1971, Kaiser Gypsum's Commodity Purchasing Manager, 19 R.W. Grigg (deceased), wrote to each of Kaiser Gypsum's raw asbestos suppliers. 20 These inquiries included a request for information concerning precautions 21 recommended for handling raw asbestos in Kaiser Gypsum's manufacturing facilities as 22 wel! as for contractors using and applying asbestos-containing products. 23 In July 1973. Kaiser Gypsum personnel participated in an ad hoc committee 24 formed by the Gypsum Association to consider the implications of 1972 Occupational 25 Safety and Health Administration regulations with respect to the release of asbestos 26 fibers during sanding and mixing of dry joint compounds. Tests were conducted on 27
behalf of the committee to measure amounts of asbestos and siliceous dusts generated 2a i dunng mixing and sanding of
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1 joint compounds on typical jobs. 2 C. Joseph R. Hobby, Vice President, 2680 Bishop Orive, San Ramon, 3 California, 4 RESPONSE TO INTERROGATORY NO. 20:
5 No.
6 RESPONSE TO INTERROGATORY NO. 21:
7 A - C: During the early 1970's, Mr. A. J. Trommershausen, an industrial
8 hygienist, was retained by Kaiser Gypsum as a consultant to conduct plant inspection
9 and air sampling tests to evaluate and ensure compliance with U.S. Occupational
10 Safety and Health Administration requirements. Plant inspection and air sampling tests
11 were conducted at the following California plants: Antioch: 8/71; 4/72 and 7/72: Santa
12 Ana: 9/71. The addresses of these plants were; Antioch Plant, Wilbur Avenue, 13 Antioch, California: Santa Ana Plant, 1302 Ritchey Street, Santa Ana, California. 14 D. Yes.
*
15 E. Joseph R. Hobby, Vice President, 2680 Bishop D<.ve, San Ramon, 16 California. 17 RESPONSE TO INTERROGATORY NO. 22: 18 A - E: Other than the plant inspections described in its response to 19 Interrogatory No. 21, Kaiser Gypsum has conducted no such tests. 20 RESPONSE TO INTERROGATORY NO. 23: 21 No. 22 RESPONSE TO. INTERROGATORY NO. 24: 23 Beginning in the early 1970's, Kaiser Gypsum began providing medical 24 examinations for those employees involved In the manufacture of asbestos-containing 25 products. 26 A. The examinations included chest x-rays and pulmonary function tests. 27
B. The examinations were mandatory for those employees involved in the 28] manufacture of asbestos-containing products.
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1 C. Yes. 2 D. Joseph R. Hobby. Vice President, 2680 Bishop Drive, San Ramon,
3 California. ` *
4 RESPONSE TO INTERROGATORY NO. 25:
5 No.
6 RESPONSES INTERROGATORY NO. 28;
7 A -D: Kaiser Gypsum is insured under a number of general corporate liability
8 insurance policies that were issued by primary insurance carriers, including Truck
9 Insurance Exchange, Fireman's Fund, The Home Insurance Company and National
10 Union insurance Company, which Kaiser Gypsum maintains provide coverage for
11 personal injury claims. Certain policy terms and conditions are subject to disputes
12 between Kaiser Gypsum and its earners. Kaiser Gypsum also believes that it is insured
13 under a number of excess liability insurance policies that were issued by a number; of
14 different insurance earners, including some that may no longer be capable of
15 responding to their obligations. The terms and conditions of these excess policies may
16 be subject to dispute. Kaiser Gypsum is preparing a summary of insurance information
17 in chart form which will be available for inspection upon reasonable notice at the offices
18 of Dillingham & Murphy, 225 Bush Street, 6th Floor. San Francisco, California.
19 Kaiser Gypsum will supplement this response in the event the circumstances in a
20 particular case may make more detailed information on insurance policies of relevance,
21 taking into account the carrier and dispute resolution status pertaining at that time.
22 RESPONSE TO INTERROGATORY NO. 27;
23 No.
24 RESPONSE TO INTERROGATORY NO. 28:
25 No.
26 RESPONSE TO INTERROGATORY NO. 29:
27 26
///
Not applicable.
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1 RESPONSE TO INTERROGATORY NO. 30: 2 A. See response to 30(E) and 30(G).
3 B. No.
4 C. See response to 30(E) and 30(G).
5 D. See response to 30(E) and 30(G).
6 E. Yes. 1952 to 1976.
7 F. See response to 30(E) and 30(G). 8 G. Yes. 1952 to 1976.
9 H. No.
10 RESPONSE TQ. INTERROGATORY NQ,?1;
t.
12
Kaiser Gypsum's Business: Gypsum Plaster, Gypsum Lath, and Gva&um Waliboard . No Asbestos Used
13 Kaiser Gypsum was organized by Henry J. Kaiser (1882-1967), the famous
14 industrialist and World War It hero, in 1952 and terminated its United States sales and
15 manufacturing in 1978. Between 1952 and 1978, Kaiser Gypsum's principal business
16 consisted of manufacturing and marketing gypsum piaster, gypsum lath and gypsum
17 waliboard. The word "gypsum1' is derived from the Greek word "gypso," meaning chalk.
18 "Gypsum" is hydrous eaieium sulfate. Gypsum piaster is sometimes called Plaster of 19 Paris, because gypsum piaster was widely used in the capital of France during the 19th
20 century. Gypsum occurs in nature in rock form, and is found in abundance in Baja
21 California, Mexico.
22 A. Gypsum Plaster Products
23 During Kaiser Gypsum's first years in business, most houses and many other
24 buildings had interior wails that were made with plaster. The plaster products sold by
25 Kaiser Gypsum were essentially finely-ground gypsum rock packaged in bags. Such
26 gypsum piaster products were mixed with water and an aggregate (most commonly
27 sand) at the construction site to form a paste. The paste was applied by hand and
28 smoothed with a trowel to form a wall or ceiling surface. Sometimes several layers of
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1 plaster were used, with the underneath layers being brown in color and the surface 2 layer being white. When dried, the plaster became quite hard. A plaster wail or ceiling 3 typically was finished by painting the plaster surface or covering it with wallpaper.
4 Kaiser Gypsum's plaster products designed for the above construction uses
5 included Hardwall Plaster, Fibered Hardwall Plaster, Dual Purpose Fibered Hardwall
6 Plaster, Dual Purpose Unfibered Hardwall Plaster, Wood Fibered Hardwall Plaster,
7 Slow Set Gauging Plaster, and Quick Set Gauging Piaster. They also included piaster
a products for casting fe.q.. making ornaments or statues including Casting Plaster and
9 Slow Set Casting Plaster). Kaiser Gypsum also manufactured Plaster Retarder and 10 Structural Gypsum (Pre-Mixed Gypsum Concrete). Kaiser Gypsum plaster products n also included Red-E-Mix plaster, a pre-mixed product which combined piaster and 12 aggregate, that was introduced in 1956. Gun Piaster, introduced in 1957, was applied 13 by mixing the sacked product on the job site in special portable mixing machines, and it 14 was then pumped through a large diameter hose to the inside of a building where it was 15 sprayed by plasterers onto walls, with comparative speed and economy. Kaiser 16 Gypsum never used asbestos as a component in any of those products. 17 B. Gypsum Lath Products ia The surface to which gypsum plaster was applied was called "lath." Lath was 19 sometimes made of wire, but lath also could be made of hard, paper covered sheets of 20 gypsum piaster (called gypsum stucco). Pieces of gypsum lath sometimes were made 21 with holes in them. The lath sheets would be affixed to the interior waii framing, and 22 plaster would then be applied to the lath. The holes in the lath would help keep the 23 plaster in place while it dried Kaiser.Gypsum made gypsum iath of this type. Kaiser 24 Gypsum lath products included Plain Lath and Perforated Lath, Foil-Back Insulating 25 Lath, Duralath, Gypsum Veneer Base, and Kaiserwall. Kaiser Gypsum never used 26 asbestos as a component in any of those products. 27 Iff 28
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1 c. Gypsum Wallboard Products
2 In years following the Korean War, (here were numerous innovations in housing
3 construction! including many changes intended to lower housing construction costs.
4 One such change was the substitution of gypsum wallboard, or drywaiJ, for plaster.
5 Gypsum wallboard, like gypsum lath, is basically a hard sheet of gypsum plaster that is
affixed to the wall framing. Typically gypsum wallboard would be made in pieces that
7 were 4 feet wide and 8 feet long. They typically were 1/2 inch or 5/8 inch thick. During
8 the manufacturing process, the wallboard's core of gypsum plaster was covered by a
9 special paper that could be painted or covered with wallpaper.
10 Because more waits, partitions or ceilings could be made using gypsum
11 wallboard in a given period of time than could be made by plastering over lath,
12 constructing houses, apartments and other buildings with wallboard was (ess
13 expensive. Over time, as building codes were amended to permit use of gypsum
14 wailboard, more construction of interior walls, partitions and ceilings was done using 15 wallboard and less using plaster. Reflecting this trend, Kaiser Gypsum's business
16 focused more on gypsum wallboard as time passed. By 1960 about half of the 17 construction in California used wallboard and half still used plaster. Plaster use 18 continued to decline, and by the early i97Q's substantially all of the market demand 19 was for gypsum wallboard. Kaiser Gypsum never used asbestos as a component in any 20 of its gypsum wallboard products. 21 D. Non-Asbestos Products Exceeded 90% Of Total Sales 22 The bulk of Kaiser Gypsum's sales has always consisted of products that did not 23 use asbestos as a component. To. illustrate, the following chart shows saies totals in 24 dollars for the years 1969-1975, the last full year prior to the complete cessation of the 25 use of asbestos as a component in Kaiser Gypsum products: 26
/// 27 28 ///
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1 Year Non-Asbestos
Non-Asbestos Product
2
Products
Total Sales
Percentage Of Total
3 1969 $41,360,000
$43,299,000
96%
4
1970
$37,258,000
$39,457,000
94%
5
1971
$48,403,000
$51,671,000
94%
6
1972
$58,468,000
$63,056,000
93%
7
1973
$65,803,000
8
1974
$64.996,000
$71,382,000 $70,139,000
92% 93%
9
1975
$41,318,000
$43,935,000
94%
10 As these figures illustrate, Kaiser Gypsum's sales of non-asbestos-containing
11 products always were substantially more than 90% of its business.
12
II. Accessories For Use With Gynaum Wallboard
13
A. Nails, Wall And Door Frames, Comerbead, 14 Eager Products - NP-^sfeestoS-Uaeri
15 With the expansion of its gypsum wallboard business. Kaiser Gypsum also
IS began selling other products needed to construct interior walls, partitions or ceilings
17 using gypsum wallboard. These included special nails and other devices used to attach
10 wallboard to the supporting frame. They also included metal wall or partition frames
19 especially made for installing wallboard, metal "comerbead" used to make partition
20 comers hard, and metal doorframes for use in walls made using gypsum wallboard.
21 Partly to ensure that it could get access to adequate amounts cf the special paper used
22 to make wallboard (its gypsum plaster core was permanently covered with paper). 23 Kaiser Gypsum acquired paper pfants, where it also manufactured commercial paper 24
products such as cardboard boxes. Kaiser Gypsum never used asbestos as a 25 component in any of those products. 26 Hi 27 Hi
28
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0. Wallboard Joint Compounds X Asbestos Used As A Component
2 When the walls or ceilings of a room are made from gypsum wallboard, large
3 pieces of wallboard are installed side by side, leaving small spaces where two pieces
4 of wallboard meet. These spaces need to be filled so that they cannot be seen after
5 the wall is painted or covered with wallpaper. The products used to perform that task
are called joint compounds or joint finishing compounds. At the time of use, these joint
7 compounds are thick putty or mud-like substances, which permits them to be pushed 0 into the spaces and smoothed with a putty knife or spatula. Paper or cloth reinforcing
9 tape is pushed into the joint compound to help prevent cracking as the joint compound
10 dries. The joint compound dries to form a hard rock-like substance.
11 Kaiser Gypsum manufactured and marketed such wallboard joint compounds,
12 and prior to the mid-1970's, these joint compounds contained a small percentage of
13 chrysotile asbestos as a component. The purpose of the chrysotile asbestos
14 component was to prevent cracks from forming as the joint compound dried.
15 "Asbestos" is the Greek word for "incombustible," which refers to things that will not
16 bum. Chrysotile is the most common type of asbestos used in products in the United
17 States. Chrysotile is a fibrous rock material derived from the rock "serpentine" which is
18 very common in California, where it is the "state rock."
19 These Kaiser Gypsum products were:
20 1. Joint Cement/Joint Compound
21 2. Finishing (Topping) Compound
22 3. 3-Purpose Wallboard Compound
23
4. One-Day Joint Compound 24
5. Pre-mix Joint Compound
25
6. Pre-mix Finishing Compound 26
7. Pre-mix Dual Purpose Joint Compound 27
8. Pre-mix Topping Compound 28
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1 9. Laminating Compound 2 Kaiser Gypsum's separate responses to interrogatory subparts (a)~(1) for each of
3 these products are as follows:
4 1. Joint Cement/Joint Compound
5 A. The trade name of this product originally was Kaiser Joint Cement; about
6 1957 it was changed to Kaiser Joint Compound.
7 B. Kaiser Gypsum marketed Kaiser Joint Cement in 1952, but did not itself a manufacture all of the product sold. Kaiser Gypsum does not know whether the non-
9 manufactured product marketed in 1952 contained asbestos as a component, Kaiser 10 Gypsum began manufacturing Kaiser Joint Cement In 1952 or 1953. at which time 11 chrysolite asbestos was used as a component. 12 C. Kaiser Gypsum last manufactured Kaiser Joint Compound with chrysotile 13 asbestos as a component in 1975. 14 D. The Kaiser Gypsum California plants that made this product were located at 15 Redwood City and Antioch. These plants were in operation at different times. The 16 product was manufactured at Redwood City from 1952 or 1953 to 1957 and at Antioch 17 from 1957 to 1975. Because of the heavy weight of the product, low profit margin and 18 high transportation costs, distribution tended to center around the location of the 19 manufacturing plant The product consisted primarily of minerals Including casein or 20 polyvinyl, day, talc, limestone and mica. The product manufactured in Kaiser Gypsum's 21 California plants induded between 8% by weight and 16% by weight chrysotile 22 asbestos as a component depending on the formula in effect at a given date. 23 . This product was a white to off-white powder. It was packaged and sold In 24 sacks of 10 to 25 lbs. and in boxes of 5 and 18 lbs. Each container was labeled with 25 the name of the manufacturer, Kaiser Gypsum Company, Inc., the name of the product 26
and directions for Its use. 27
R This product was a dry powder which, when mixed with water, formed a thick 28 paste. Upon application it dried to a hard, durable surface, it was used to fill gypsum
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1 waliboard joints, embed joint reinforcing tape, finish joints and to caver and finish nail 2 heads and metal comerbead.
3 2. Finishing (Topping) Compfljind
4 A. The trade name of this product was Kaiser Gypsum Finishing (topping)
5 Compound.
6 B. Kaiser Gypsum began manufacturing finishing (topping) compound in 1955,
7 and chrysotile asbestos was used as a component at that time.
8 C. Kaiser Gypsum last manufactured finishing (topping) compound with
9 chrysotile asbestos as a component in 1975. 10 0. The Kaiser Gypsum California plants that made this product were located at 11 Redwood City and Antioch. These plants were in operation at different times. The 12 product was manufactured at Redwood City from 1955 to 1957 and at Antioch from 13 1957 to 1975. Because of the heavy weight of the product, low profit margin and high 14 transportation costs, distribution tended to center around the location of the 15 manufacturing plant. This product consisted primanly of minerals including casein or 16 polyvinyl, clay, talc, limestone and mica. The product included between 5.3% by weight 17 and 16% by weight chrysotile asbestos as a component depending on the formula in 18 effect at a given time. 19 E. This product was a white to off-white powder. It was packaged and sold in 20 9acks of 25 lbs. Each container was labeled with the name of the manufacturer. Kaiser 21 Gypsum Company. Inc., the name of the product and instructions for its use. 22 F. This product was a dry powder which, when mixed with water, formed a thick 23 paste. Upon application it dried toa hard, durable surface. It was used to top and 24 finish gypsum waliboard joints. 25 3. 3-Purpose Waliboard Compound 26 A. The trade name of this product was Kaiser Gypsum 3-Purpose Waliboard 27
Compound. 28
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1 B. Kaiser Gypsum began manufacturing 3-Purpose Wallboard Compound in
2 1968, and chrysotile asbestos was used as a component at that time.
3 C. Kaiser Gypsum fast manufactured 3-Purpose Wallboard Compound with
4 chrysotile asbestos as a component in 1976.
5 0. The Kaiser Gypsum California plant that made this product was iocated at
6 Antioch. Because of the heavy weight of the product, low profit margin and high
7 transportation costs, distribution tended to center around the location of the
8 manufacturing plant. This product consisted primarily of minerals including casein or 9 polyvinyl, clay, talc, limestone and mica. The product included between 5.1% by weight 10 and 14 2% by weight chrysotile asbestos as a component 11 E. The product was a white to off-white powder. It was packaged and sold in 12 sacks of 25 lbs. Each sack was labeled with the name of the manufacturer, Kaiser
13 Gypsum Company, Inc., the name of the product and directions for its use. 14 F. This product was a dry powder which, when mixed with water, formed a thick 15 paste. Upon application It dried to a hard, durable surface. It was used to tape, top and 16 finish gypsum wallboard joints, naiiheads and metal comerbead. 17 4. One-Pav.Joint Compound 18 A. The trade name of this product was Kaiser Gypsum One-Day Joint 19 Compound Powder. 20 B. Kaiser Gypsum began manufacturing One Day Joint Compound Powder in 21 1968, and chrysotile asbestos was used as a component at that time 22 C. Kaiser Gypsum last manufactured One Day Joint Compound Powder with 23 chrysotile asbestos as a component in 1975. 24 D. The Kaiser Gypsum California plants that made this product were located at 25 Santa Ana and Antioch. Because of the heavy weight of the product, low profit margin 26 ! and high transportation costs, distnbution tended to center around the location of the 27
manufacturing plant. The product consisted primarily of casein limestone and mica. 28 The product included 3.4% by weight chrysotile asbestos as a component.
17-
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NO.741 P020/099
1 E. This product was a white to off-white powder. It was packaged and sold In 2 sacks of 25 lbs. Each sack was labeled with the name of the manufacturer, Kaiser
3 Gypsum Company, Inc., the name of the product and directions for its use, 4 F. This product was a dry powder which, when mixed with water, formed a thick
5 paste. Upon application it dried to a hard, durable surface. It was used to fill gypsum
6 wallboard joints, embed joint reinforcing tape, finish joints and to cover and finish
7 nailhead and metal comerbead.
8 5. Pre-Mix Joint Compound
9 A. The trade name of this product was Kaiser Gypsum Pre-Mix Joint
10 Compound. 11 B. Kaiser Gypsum began manufacturing Pre-Mix Joint Compound in 1959, and 12 chrysotile asbestos was used as a component at that time. 13 C. Kaiser Gypsum last manufactured Pre-Mix Joint Compound with chrysotile 14 asbestos as a component in 1962. 15 D. The Kaiser Gypsum California plant that made this product was located at 16 Long Beach. Because of the heavy weight of the product, low profit margin and high 17 transportation cost, distribution tended to center around the location of the 18 manufacturing plant. This product consisted primarily of minerals including casein or 19 polyvinyl, clay, talc, limestone and mica. The product included chrysotile asbestos as a 20 component. The percentage presently is unknown, investigation is continuing. 21 E. This product was a white to off-white colored paste. It was packaged and 22 sold in cans of 4 or 5 gallons and in cartons of 5 gallons. Each container was labeled 23 with the name of the manufacturer,- Kaiser Gypsum Company, Inc., the name of the 24 product and directions for its use. 25 F. This product was a thick paste like material which upon application dried to a 26 hard, durable surface. It was used to flit gypsum wallboard joints, embed joint 27 reinforcing tape, finish joints and to cover and finish naiiheads and comerbead. 28 tu
-18-
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NO.741 P021/099
6. Pre-Mix Finishing Compound
2 A The trade name of this product was Kaiser Gypsum Pre-Mix Finishing
3 Compound.
4 B. Kaiser Gypsum began manufacturing Pre-Mix Finishing Compound in 1959,
5 and chrysotile asbestos was used as a component at that time.
6 C. Kaiser Gypsum last manufactured Pre-Mix Finishing Compound with
7 chrysotile asbestos as a component in 1962.
8 0. The Kaiser Gypsum California plant that made this product was located at
9 Long Beach. Because of the heavy weight of the product, low profit margin and high
10 transportation cost, distribution tended to center around the location of the
11 manufacturing plant. This product consisted primarily of minerals including casein or
12 polyvinyl, clay, talc, limestone and mica. The product included chrysotile asbestos as a
13 component The percentage presently is unknown. Investigation is continuing.
14 E. This product was a white to off-white colored paste. It was packaged and
15 sold in cans of 4 or S' gallons and in cartons of 5 gallons. Each container was labeled
16 with the name of the manufacturer, Kaiser Gypsum Company. Inc., the name of the
17 product and directions for its use.
18 F. This product was a thick paste like material which upon application dried to a
19 hard, durable surface. It was used to finish gypsum wallboard joints and to cover and 20 finish nailheads and comerbead.
21 7. PrerMix Dual Purpose Joint Compound
22 A. The trade name of this product was Kaiser Gypsum Pre-Mix Dual Purpose
23 Joint Compound.
'
24 B. Kaiser Gypsum began manufacturing Pre-Mix Dual Purpose Joint
25 Compound in 1960. and chrysotile asbestos was used as a component at that time.
26 C. Kaiser Gypsum last manufactured Pre-Mix Dual Purpose Joint Compound
27 with chrysotile asbestos as a component in 1975.
26
-19-
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NO.741 P022/099
1 D. The Kaiser Gypsum California plants that made this product were located at
2 Long Beach, Antioch and Santa Ana. Because of the heavy weight of the product, low
3 profit margin and high transportation costs, distribution tended to center around the
4 location of the manufacturing plant. This product consisted primarily of minerals
5 including polyvinyl, clay, talc, limestone and mica. The product included between 1.5%
6 by weight and 6% by weight chrysotile asbestos as a component depending on the
7 formula in effect at a given date.
8 E. This product was a white to off-white or light buff colored paste, it was
9 packaged and sold in 5 gallon metal cans or plastic pails, and 4 or 5 gallon cartons. 10 Beginning in 1966 email amounts were sold in 5 quart plastic buckets as an 11 accommodation product for lumber dealers under the name 3-purpose premix 12 compound. Each container was labeled with the name of the manufacturer, Kaiser 13 Gypsum Company, Inc., the name of the product and directions for its use. 14 F. This product was a thick paste like material which upon application dried to a 15 hard, durable surface. It was used to finish gypsum wailboard joints, embed joint 16 reinforcing tape, finish joints and to cover and finish nailheads and metal comerbead. 17 8. Pre-Mix Topping Compound 18 A. The trade name of this product was Kaiser Gypsum Pre-Mix Topping 19 Compound. 20 B. Kaiser Gypsum began manufacturing Pre-Mix Topping Compound in 1368, 21 and chrysotile asbestos was used as a component at that time. 22 C. Kaiser Gypsum last manufactured Pre-Mix Topping Compound with 23 chrysotile asbestos as a component in 1976. 24 0 The Kaiser Gypsum California plants that made this product were located at 25 Santa Ana and Antioch. Because of the heavy weight of the product, low profit margin 26 and high transportation costs, distribution tended to center around the location of the
27
manufacturing plant This product consisted primaniy of minerals including casein or 20 i polyvinyl, clay, talc, limestone and mica. The product included between 0.9% by weight
-20-
06^24/01 14:25 KMESR * 17606033701
NO.741 P023/099
1 and 2% by weight chrysotite asbestos as a component depending on the formula in 2 effect at a given date.
3 & This product was a white to off-white or light buff colored paste. It was
4 packaged and sold in metal and plastic buckets of 4 or 5 gallons and in cartons of 4
5 gallons. Each container was labeled with the name of the manufacturer, Kaiser
6 Gypsum Company, Inc., the name of the product and directions for Its use.
7 F. This product was a thick paste like material which upon application dned to a
8 hard, durable surface. It was used to top and finish gypsum wallboard joints.
9 9. Laminating.Compound 10 A. The trade name of this product was Kaiser Gypsum Laminating Compound. 11 B. Kaiser Gypsum began manufacturing Laminating Compound in 1961, at 12 which time chrysotile asbestos was used as a component
13 C. Kaiser Gypsum last manufactured Kaiser Gypsum Laminating Compound 14 with chry&otife asbestos as a component in 1972, at which time the product was 15 discontinued. 16 D. The Kaiser Gypsum California plants that made this product were located at 17 Antioch and Santa Ana. These plants were in operation at different times. The product 18 was manufactured at Antioch from 1961 through 1970 and at Santa Ana in 1971 and 19 1972. Because of the heavy weight of the product, low profit margin and high 20 transportation costs, distribution tended to center around the location of the 21 manufacturing plant. The product consisted pnmanty of soya, flour and limestone. The 22 product included between 6.5% by weight and 10% by weight chrysotile asbestos as a 23 component depending upon the formula in effect at a given date. 24 E. This product was a white to off-white powder, it was packaged and sold in 25 sacks of 25 lbs. Each container was labeled with the name of the manufacturer, Kaiser 26 Gypsum Company, Inc., the name of the product and directions for its use.
27
F. This product was a dry powder, which when mixed with water formed a thick 28
paste. It was used as an adhesive to laminate one piece of gypsum wallboard to
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NO.741 P024/093
1 another, which was occasionally done to create gypsum drywail partitions having
2 thicker wallboard than could be created by a single sheet. For example, gypsum
3 wallboard typically came in sheets 1/2 inch and 5/8 inch thick. If one wanted a gypsum
4 wallboard that was i inch thick, this would be created by laminating together two pieces
5 of gypsum wallboard that were each 1/2 inch thick. Laminating compound was used for
6 this purpose. Additionally, it was used to lamfnate gypsum wallboard to sound
7 deadening board, which would increase the wall's capacity to prevent transmission of
S sound from one room to another. 9
**#
io| Kaiser Gypsum's responses to Interrogatory subparts G. - J. applicable to all of 11 the eight wallboard joint compound products discussed above are as follows: 12 G. Kaiser Gypsum is unsure as to the intended meaning of The U.S.
13 Government's `Qualified Products Lisfbut has no knowledge that any of its wallboard
14 joint compound products ever appeared on such a list
15 H. Kaiser Gypsum is aware of the following suppliers of chrysotile asbestos:
16 John K. Bice
17 Harrison & Crosfield
18 Carmonia Chemical Co.
19 Western Chemical Co.
20 Philip Carey Corp. (Carey Canadian Asbestos)
21 Johns-Manviile
22 Union Carbide Corp.
23
E. S. Browning
-
24 Loomis Chemical Co.
25 Benson Chemical
26 Paul W. Wood (Johns-Manviile) 27
Current addresses, if any, are not known to Kaiser Gypsum. Most of the specific 2a time periods during which these firms supplied asbestos are unknown.
-22-
14:26 KMESfl * 17606033701
NO.741 P025/099
1 (. (1 through 3): Kaiser Gypsum is not aware of ever selling such products to
2 shipyards, power companies or refineries. Kaiser Gypsum sold such products to non
3 governmental customers in Northern California from approximately 1952 to 1976. These
4 customers consisted largely of building contractors or building materials dealers.
5 Kaiser Gypsum has some retained sales orders and sales invoices for some
6 years which identify the purchasers of Kaiser Gypsum products, the dates of sale, the
7 amount of each product sold and, in some cases, the sites to which the products were
8 to be delivered. Sales orders and invoices are not organized by type of product (and
9 often individual documents cover sales of mulitipie products). Kaiser Gypsum will
10 make its retained sales records covering sales to customers in the Geographic Area 11 available for inspection upon reasonable notice at the offices of Dillingham & Murphy, 12 225 Bush Street, 6th Floor, San Francisco, California.
13 J. Kaiser Gypsum will make responsive documents sufficient to substantiate the
*
14 above information available for inspection upon reasonable notice at the offices of
15 Dillingham & Murphy, 225 Bush Street, 6th Floor, San Francisco, California. Kaiser
16 Gypsum regards and maintains its product formulas as confidential business
17 information. Incident to the sale of production facilities in which asbestos-containing
18 products were previously manufactured. Kaiser Gypsum transferred its trade secrets,
19 intangible property rights, and other confidential and proprietary business information 20 and assumed obligations to maintain their confidentiality. Consistent with those 21 property hghts and obligations, Kaiser Gypsum is prepared to produce the formulas for
22 asbestos-containing products marketed in the Geographic Area under a confidentiality
23 agreement.
`
24
C. Decorative Texture Finishes For Interior Walls 25 Or Ceilings - Asbestos Uaed Aa A Component
26 Drywall partitions or wails made from gypsum waliboard are sometimes
27 decorated with wall covering or wallpaper that is fixed to the wall by an adhesive or 8 glue. On otner occasions such walls are finished by painting them. There are many
-23-
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NO.741 P026/099
1 varieties of paint, including some that are intended to create a textured surface (rather 2 than a smooth surface). Kaiser Gypsum manufactured and marketed several texture
3 paint products that during certain years used chrysotile asbestos as one of numerous
4 components. Orywall ceilings are sometimes finished with decorative products, as are
5 the cement slab ceilings found in some high-rise buildings. Kaiser Gypsum also
6 manufactured and marketed decorative texture products for use on such Interior
7 ceilings that, during certain years, used chrysotile asbestos as one of numerous a components. The Kaiser Gypsum decorative wail and ceiling texture products were:
9 1. Cover-Tex texture paint
10 2. Spray-Tex or Spray Cover-Tex texture paint
11 3. Kaiser-Tex texture paint
12 4. Cover-Tex (TSS) wall texture
13 5. K-Spray ceiling texture
,
14 Kaiser Gypsum's responses to interrogatory subparts (aHO for each of these
15 products are as follows:
15 1. Cover-Tex Textarff-Eainf 17 A. The trade name of this product was Cover-Tex texture paint. IS B. Kaiser Gypsum marketed Cover-Tex texture paint in 1952, but it did not itself
19 manufacture all of the product sold. Kaiser Gypsum does not know whether the non20 manufactured product marketed in 1952 contained asbestos. Kaiser Gypsum began 21 manufacturing this product in 1953, at which time chrysotile asbestos was used as a 22 component. 23 C. Kaiser Gypsum last manufactured Cover-Tex texture paint with chrysotile 24 asbestos as a component in 1967, when the product was discontinued. 25 0. The Kaiser Gypsum California plants that made this product were located in 26 Redwood City and Antioch. These plants were In operation at different times. The
27
product was manufactured at Redwood City from 1953 through 1957 and at the Antioch 28 plant from 1957 through 1967. Because of the heavy weight of the product, low profit
24-
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NO.741 P027/099
1 margin and high transportation costs, distribution tended to center around the location 2 of the manufacturing plant The product consisted primarily of casein, limestone and
3 mica. The product included between 4.4% by weight and 8.6% by weight chrysotile
4 asbestos as a component depending upon the formula in effect at a given date.
5 E. This product was a white to off-white powder. It was packaged and sold in
6 sacks of 25 lbs. and sacks of 50 lbs. Each container was labeled with the name of the
7 manufacturer, Kaiser Gypsum Company, Inc., the name of the product and directions
8 ( for its use. 9 F. This product was a dry powder which, when mixed with water formed a 10 texture paint. It was used to produce texture effects over gypsum wallboard surfaces. 11 2. SpraY.rTex.Qr.SBEay..Covgr-Tgx Texture Paint 12 A. The trade name of this product was Spray-Tex. Later it was changed to 13 Spray Cover-Tax texture paint 14 S. Kaiser Gypsum began manufacturing this product in 1956, at which time 15 chrysotile asbestos was used as a component. 16 C Kaiser Gypsum last manufactured Spray Cover-Tex texture paint with 17 chrysotile asbestos as a component in 1967, when the product was discontinued. 18 O. The Kaiser Gypsum California plants that made this product were located In 19 Redwood City and Antioch. These plants were in operation at different times. The 20 product was manufactured at Redwood City from 1956 through 1957 and at the Antioch 21 plant from 1957 through 1967. Because of the heavy weight of the product, low profit 22 margin and high transportation costs, distribution tended to center around the location 23 of the manufacturing plant. The product consisted primarily of casein, limestone and 24 mica. The product included between 6.6% by weight and 36.6% by weight chrysotile 25 asbestos as a component depending upon the formula In effect at a given date 26 . This product was a white to off-white powder. However, some colored 27
versions of the product were offered, it was packaged and sold in sacks of 25 lbs. and 28 sacks of 50 lbs. Each container was labeled with the name of the manufacturer, Kaiser
-25
0S/24/01 14:27 KMESfl -> 17606033701
NO.741 P028/099
1 Gypsum Company, Inc. The name of the manufacturer, Kaiser Gypsum Company, Inc.,
2 the name of the product and directions for its use.
3 F. This product was a dry powder which, when mixed with water formed a
4 texture paint that was used to produce texture effects over gypsum waiiboard surfaces.
5 3. Kaiser-Tcx Texture Paint
6 A. The trade name of this product was Kaiser-Tex texture paint
7 B. Kaiser Gypsum marketed Kaiser-Tex texture paint in 1952. but it did not itself
B manufacture all of the product sold. Kaiser Gypsum does not know whether the non9 manufactured product marketed in 1952 contained asbestos. Kaiser Gypsum began
10 manufactunng this product in 1952 or 1953, at which time chrysotile asbestos was used 11 as a component. 12 C. Kaiser Gypsum last manufactured Kaiser-Tex texture paint with chrysotile
13 asbestos as a component in 1967, when the product was discontinued.
.
14 D. .The Kaiser Gypsum California plants that made this product were located in
15 Redwood City and Antioch. These plants were in operation at different times. The
16 product was manufactured at Redwood City from 1952 or 1953 through 1957 and at the
17 Antioch plant from 1957 through 1967. Because of the heavy weight of die product, low IB profit margin and high transportation costs, distribution tended to center around the
19 location of the manufacturing plant The product consisted- primarily of casein,
20 limestone and mica. The product included between 4.0% by weight and 8.0% by 21 weight chrysotile asbestos as a component depending upon the formula in effect at a 22 given date. 23 E. This product was a white to off-white powder; however, some cafored paints 24 were sold, it was packaged and sold in sacks of 10 ibs. and sacks of 25 ibs. Each 25 container was labeled with the name of the manufacturer, Kaiser Gypsum Company. 26 Inc., the name of the product and directions for its use.
27
I F. This product was a dry powder which, when mixed with water formed a 28 i
texture paint. It was used to produce texture effects over gypsum waiiboard surfaces
-26-
06/24/01 14:27 KMESA -> 17606033701
NO.741 P029/099
1 I 4. Cover-Tex rrSS) WalLTextura 2 A. The trade name of this product was Kaiser Gypsum Cover-Tex (TSS) wall
3 texture paint.
4 B. Kaiser Gypsum began manufacturing Cover-Tex Wall Texture in 1968, at
5 which time chrysotile asbestos was used as a component. 6 C. Kaiser Gypsum iast manufactured Cover-Tex Wall Texture with chrysotile
7 asbestos as a component in 1975. 6 D. The Kaiser Gypsum California plants that manufactured this product were
9 Santa Ana and Antioch. These plants were in operation at different times. The product 10 was manufactured at Santa Ana from 1968 through 1975 and at the Antioch plant from 11 1968 through 1975. Because of the heavy weight of the product, low profit margin and 12 high transportation costs, distribution tended to center around the location of the 13 manufacturing plant. The product consisted primarily of casein, limestone and mica. 14 The product included between 4.2% by weight and 8.7% by weight chrysotile asbestos 15 as a component depending upon the formula in effect at a given date. 16 E. The product was a white to off-white powder. It was packaged and sold in 17 50 lb. sacks. Each container was labeled with the name of the manufacturer, Kaiser IS Gypsum Company, Inc., the name of the product and directions for its use. 19 F. This was a dry powder which when mixed with water formed a paint-like 20 product designed for hand or spray application. When dry, it produced a hard, durable 21 surface. It was used to produce texture effects over gypsum wallboard surfaces. 22 5. K-Sorav Ceiling Texture 23 A. The trade name of this product was Kaiser Gypsum K-Spray Ceiling Texture. 24 B. Kaiser Gypsum began manufacturing K-Spray Ceiling Texture in 1961, at 25 which time chrysotile asbestos was used a a component. 26 C. Kaiser Gypsum last manufactured K-Spray Ceiling Texture with chrysotile
27
asbestos as a component in 1975.
28
-27-
06/24/01 14:27 KMESfl -> 17606033701
NO.741 P030/09S
1 0. The Kaiser Gypsum California plants that manufactured this product were 2 Santa Ana and Antioch. These plants were in operation at different times. The product 3 was manufactured at Santa Ana from 1973 through 1975 and at the Antioch plant from
4 1961 through 1971. Because of the heavy weight of the product, low profit margin and
5 high transportation costs, distribution tended to center around the location of the
6 manufacturing plant. The product consisted primarily of casein, limestone and mica.
7 The product included between 1.3% by weight and 9.9% by weight chrysotile asbestos a as a component depending upon the formula in effect at a given date.
9 E. The product was a white powder with either a mineral or polystyrene
10 aggregate, it was packaged and sold in 32 lb. sacks. Each container was labeled with
11 the name of the manufacturer, Kaiser Gypsum Company, Inc., the name of the product
12 and directions for its use.
13 F. This was a dry powder which when mixed with water formed a painMike
14 product designed for spray application. When dry, it produced a hard, durable surface.
15 It was used to produce texture effects over gypsum wailboard or intenor concrete
16 ceilings. 17
% #
18 Kaiser Gypsum's responses to interrogatory subparts G.- J. applicable to all of
19 the five decorative texture products discussed above are as follows:
20 G. Kaiser Gypsum is unsure as to the intended meaning of The U.S.
21 Government's 'Qualified Products List*,41 but has no knowledge that any of its decorative
22 texture products ever appeared on such a list.
'
23 H. Kaiser Gypsum is aware of the following suppliers of chrysotile asbestos:
24 John K. Bice
25 Harrison & Crosfield 26 Carmonia Chemical Co. 27
Western Chemical Co. 28 Philip Carey Corp. (Carey Canadian Asbestos)
-28
06/24/01 14:28 KMESfl 17606033701
NO.741 P031/099
1, Johns-Manvilla 2 Union Carbide Corp.
3 E. S. Browning
4 Loomis Chemical Co.
5 Benson Chemical
6 Paul W. Wood (Johns-Manville)
7 Current addresses, if any, are not known to Kaiser Gypsum. Most of the specific
8 time periods during which these firms supplied asbestos are unknown.
9 i. (1 through 3): Kaiser Gypsum is not aware of ever selling such products to 10 shipyards, power companies or refineries. Kaiser Gypsum sold such products to non 11 governmental customers in Northern California from approximately 1952 to 1975. 12 These customers consisted largely of building contractors or building materials dealers. 13 Kaiser Gypsum has some retained sales orders and sales invoices for some 14 years which identity the purchasers of Kaiser Gypsum products, the dates of sale, the 15 amount of each product sold, and, in some cases, the sites to which the products were 18 to be delivered. Sales orders and invoices are not organized by type of product (and 17 often individual documents cover sales of multiple products). Kaiser Gypsum will make 18 its retained sales records covering sales to customers in the Geographic Area available 19 for inspection upon reasonable notice at the offices of Dillingham & Murphy, 225 Bush 20 Street. 6th Floor. San Francisco, California. 21 J. Kaiser Gypsum will make responsive documents sufficient to substantiate the 22 above information available for inspection upon reasonable notice at the offices of 23 Dillingham & Murphy. 225 Bush Street, 6th Floor, San Francisco, California. Kaiser 24 Gypsum regards and maintains its product formulas as confidential business 25 information, incident to the sale of production facilities in which asbestos-containing 26 products were previously manufactured, Kaiser Gypsum transferred its trade secrets,
27
intangible property rights, and other confidential and proprietary business information 2B
and assumed obligations to maintain their confidentiality. Consistent with those
-29-
06/24/01 14:28 KMESfi -> 1760S033701
NO.741 P032/099
1 property rights and obligations, Kaiser Gypsum is prepared to produce the formulas for
2 asbestos-containing products marketed In the Geographic Area under a confidentiality
3 agreement.' *
4 D. Electric Radiant Heat System Finishing 5 Products - Asbestos Used As A Component 6 In areas where electricity was expected to be particularly inexpensive, some 7 houses and apartments were constructed with electric radiant heating systems. In B some such radiant heating systems, grooves were cut in gypsum wallboard ceilings 9 and electncal heating cables secured in the grooves. The groove-cracks were then 10 filled and the ceiling covered with a decorative finish. In other systems, electric heating 11 wires were stapled to the surface of wallboard. Then the ceiling was covered with a 12 thick decorative finish that would conceal the heating wires. Kaiser Gypsum made
13 several products for finishing such systems, and these products used chrysotile
14 asbestos as one of numerous components. These Kaiser Gypsum products were:
15 1. Filler Compound
16 2. Radiant Heat Compound
17 3. Radiant Heat Scrimless Surfacing Compound
18 Kaiser Gypsum's responses to interrogatory subparts (a)-(f) for each of these
19 products are as follows:
20 1. Filler Compound
21 i
A. The trade name of this product was Kaiser Gypsum Filler Compound.
22 8. Kaiser Gypsum began manufacturing Filler Compound In 1961, at which
23 time chrysotile asbestos was used as a component.
24 C. Kaiser Gypsum last manufactured Filler Compound with chrysotile asbestos
25 as a component in 1972. when the product was discontinued. 26 D. The Kaiser Gypsum California plant that made this product was located at 27 Antioch. It manufactured Filler Compound from 1961 to 1970. Because of the heavy 28 weight of the product, the low profit margin and high transportation costs, distribution
-30-
06/24/01 14:28 KMESfl - 17606033701
NO.741 P033/099
1 tended to center around the location of the manufacturing plant The product consisted 2 primarily of minerals including limestone and mica. The product used chrysotile 3 asbestos as a component in its formula but the amount of asbestos called far in the 4 | formula used to manufacture the product at the Antioch plant is uncertain. Investigation
5 is continuing.
s E. This product was a white to off-white powder, it was packaged and sold in
7 sacks of 50 lbs. Each container was labeled with contained the name of the
a manufacturer, Kaiser Gypsum Company, Inc., the name of the product and directions
9 for its use. 10 F. This product was a dry powder, which when mixed with water formed a thick 11 paste. Upon application it dried to a hard, durable surface. It was used to cover radiant 12 heating system ceiling surfaces. 13 2. BadiantHeat Compound
14 A. The trade name of this product was Kaiser Gypsum Radiant Heat
15 Compound.
16 B. Kaiser Gypsum began manufacturing this product in 1968, at which time
17 chrysotile asbestos was used as a component.
is C. Kaiser Gypsum last manufactured Radiant Heat Compound with chrysotile
19 asbestos as a component in 1974, when the product was discontinued.
20 0. The Kaiser Gypsum California plant that made this product was located in
21 Santa Ana, where it was manufactured from
'
22 1968 through 1974. Because of the heavy weight of the product, the low profit margin
23 and high transportation costs, distribution tended to center around the location of the
24 manufacturing plant. The product consisted primarily of sand and white portland 25 cement. The product included between 3.3% by weight and 3.6% by weight chrysotile 26 asbestos as a component
27
28
-31-
06/24/01 14:23 KMESfl > 17606033701
NO.741 P034/033
X E, This product was a white to off-white powder, it was packaged and sold in 2 sacks of 60 lbs. Each container was labeled with the name of the manufacturer, Kaiser
3 Gypsum Company, Inc., the name of the product and directions for its use.
4 F. This product wa9 a dry powder, which when mixed with water formed a thick
5 paste that was used to cover radiant heating cables stapled to ceiling surfaces.
6 3, Radiant Heat Scrimteas Surfacing Compound
7 A. The trade name of this product was Kaiser Gypsum Radiant Heat Scrimiess
8 Surfacing Compound.
9 B. Kaiser Gypsum began manufacturing this product in California in 1972, at 10 which time chrysotile asbestos was used as a component.
XI C. Kaiser Gypsum last manufactured Radiant Heat Scrimless Surfacing 12 Compound with chrysotile asbestos as a component in 1974, when the product was
13 discontinued.
14 0. The Kaiser Gypsum California plant that made this product was located in
15 Santa Ana, where it was manufactured from 1972. Because of the heavy weight of the
16 product, the law profit margin and high transportation costs, distribution tended to
17 center around the location of the manufacturing plant The product consisted primarily
18 of sand, silica flour and mica. The product included S% by weight chrysotile asbestos
19 as a component. 20 E. This product was a greenish powder. It was packaged and sold in sacks of 21 25 lbs. and in sacks of 50 lbs. Each container was labeled with the name of the 22 manufacturer, Kaiser Gypsum Company, Inc., the name of the product and directions
23 for its use.
24 F. This product was a dry powder, which when mixed with water formed a thick
25 paste that was used to cover radiant heating cables embedded in ceiling surfaces.
26 ^
0*
27
Kaiser Gypsum's responses to interrogatory subparts G.- J. applicable to all of 28 the three radiant heating system surfacing products discussed above are as follows-
-32
06^24/01 14:29 KMESfl * 17606033701
NO.741 P035/099
1 G. Kaiser Gypsum is unsure as to the intended meaning of "The U.S. 2 Governments 'Qualified Products List','1 but has no knowledge that any of its radiant 3 heating system surfacing products ever appeared on such a list. 4 H. Kaiser Gypsum is aware of the following suppliers of asbestos:
5 John K. Bice
6 Harrison & Crosfield
7 Carmonia Chemical Co.
8 Western Chemical Co.
9 Philip Carey Corp. (Carey Canadian Asbestos) 10 Johns-Manviile 11 Union Carbide Corp* 12 E. $. Browning 13 Loomis Chemical Co. 14 Benson Chemical 15 Paul W- Wood (Johns-Manviile) 16 Current addresses, if any, are not known to Kaiser Gypsum. Most of the specific 17 time periods during which these firms supplied asbestos are unknown. 18 i. (1 through 3): Kaiser Gypsum is not aware of ever selling such products to 19 shipyards, power companies or refineries. Kaiser Gypsum sold such products to non 20 governmental customers in Northern California from approximately 1952 to 1976. 21 These customers consisted largely of building contractors or building materials dealers. 22 Kaiser Gypsum has some retained sales orders and sales invoices for some 23 years which identify the purchasers of Kaiser Gypsum products, the dates of sale, the 24 amount of each product sold, and, in some cases, the sites to which the products were 25 to be delivered. Sales orders and invoices are not organized by type of product (and 26 often individual documents cover sales of multiple products). Kaiser Gypsum will make 27 its retained sales records covering 3alea to customers in the Geographic Area available 26
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i| | for inspection upon reasonable notice at the offices of Oillingham & Murphy, 225 Bush 2| | Street, 6th Floor, San Francisco, California. 3| | J. Kaiser Gypsum will make responsive documents sufficient to substantiate the 4| | above information available for inspection upon reasonable notice at the offices of 5| I Oillingham & Murphy, 225 Bush Street, 6th Floor, San Francisco, California. Kaiser el I Gypsum regards and maintains its product formulas as confidential business 711 information. Incident to the sale of production facilities in which asbestos-containing a| I products were previously manufactured, Kaiser Gypsum transferred its trade secrets, 9l I intangible property rights, and other confidential and proprietary business information
10 and assumed obligations to maintain their confidentiality. Consistent with those n property rights and obligations, Kaiser Gypsum is prepared to produce the formulas for 12 asbestos-containing products marketed in the Geographic Area under a confidentiality 13 agreement 14
E. Gypsum Wallboard Accessories For 15 Exterior Use - Asbestos Used As A Component 16 Kaiser Gypsum experimented with gypsum wallboard products for use on the 17 exterior surfaces of buildings, but those products proved unsuccessful. Kaiser Gypsum la never discovered a way for them to be manufactured that would allow them to 19 effectively withstand the wide variety of weather and temperature conditions that 20 exterior products confront. Those exterior gypsum products were marketed in several 21 test areas and, as In the case of interior gypsum drywali products, required the use of 22 materials to fill the spaces between pieces of gypsum wallboard and to provide a 2 3 decorative finish. Kaiser Gypsum offered products for those purposes whose 24| I components included small percentages of chrysotile asbestos. These products were: 25 1. X-Terior Premix Prefill Compound 26 2. X-Terior Premix Wall Texture Compound 27 Kaiser Gypsum's responses to interrogatory subparts (a)-(f) for each of these 28 I products are as follows:
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1. X-Tarior Premix Prefi Compound
2 A. The trade name of this product was Kaiser Gypsum X-Terior Premix Prefill I
3 Compound. -
4 8. & C. Kaiser Gypsum began and ceased marketing this product during 1975.
5 Chrysotlle asbestos was used as a component for the brief period during which this
6 product was manufactured.
7 D. The Kaiser Gypsum California plant that made this product was located at
8 Antioch. The product was marketed in a limited market area where exterior gypsum
9 waliboard was being sold on a test basis. Kaiser Gypsum X-Terior Premix Prefill
10 Compound was made primarily of raw gypsum, PVA emulsion and mica. The product
11 included 1.5% by weight chrysotile asbestos as a component
12 E. This product was a white to off-white paste. It was packaged and sold in
13 metal cans and plastic buckets of 60 lbs., and in cartons of 48 and 60 lbs. Each
14 container was labeled with the name of the manufacturer. Kaiser Gypsum Company,
15 tnc., die name of the product and directions for its use.
16 F. This product was a paste that was used to pre-fill joints in gypsum waliboard
17 installed on building exteriors.
18 2. X-Tertor Premfx Wall Texture Compound
19 A. The trade name of this product was Kaiser Gypsum X-Terior Premix Wall
20 Texture Compound.
21 8. & C. Kaiser Gypsum began and ceased marketing this product during 1975.
22 Ch/ysolile asbestos was used as a component for the brief period during which this
23 product was manufactured.
*
24 0. The Kaiser Gypsum California plant that made this product was located at
25 Antioch. The product consisted primarily of limestone, acrylic emulsion and mica. The 26 product Included 1.5% by weight chrysotile asbestos as a component. 27
E. The product was a white to off-white paste. It was packaged and sold in 58SB
lb. metal cans, plastic buckets and cartons. Each container was labeled with the name
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of the manufacturer, Kaiser Gypsum Company, Inc., the name of the product and
2 directions for its use.
3 F. This product was a white to off-white paste that was used to provide surface
4 texture to gypsum wailboard installed on building exteriors. 5 . ft
6 Kaiser Gypsum's responses to interrogatory subparts G.-J. applicable to the two
7 exterior finishing products discussed above are as follows:
6 G. Kaiser Gypsum is unsure as to the intended meaning of The U.S.
9 Governments 'Qualified Products List," but has no knowledge that any of its exterior
10 finishing products ever appeared on such a list.
11 H. Kaiser Gypsum is aware of the following suppliers of chrysotile asbestos:
12 John K. Bice
13 Harrison & Crosfield
14 . Carmonia Chemical Co.
15 Western Chemical Co.
16 Philip Carey Corp. (Carey Canadian Asbestos) 17 Johns-Manville
IS Union Carbide Corp.
19 E. S. Browning
`
20 Loomis Chemical Co.
21 Benson Chemical
22 Paul W. Wood (Johns-Manville)
23 Current addresses, if any, are not known to Kaiser Gypsum. Most of the specific
24 time periods dunng which these firms supplied asbestos are unknown.
25 I. (1 through 3): Kaiser Gypsum is not aware of ever selling these products to
26 shipyards, power companies or refineries. Kaiser Gypsum sold these products to non 27 governmental customers in Northern California in 1975. These customers consisted 28 largely of building contractors or building materials dealers.
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1 Kaiser Gypsum has some retained sales orders and sales invoices for some 2 years which identify the purchasers of Kaiser Gypsum products, the dates of sale, the 3 amount of each product sold, and, in some cases, the sites to which the products were
4 to be delivered. Sales orders and invoices are not organized by type of product (and
5 often Individual documents cover sales of multiple products). Kaiser Gypsum will make
6 its retained sales records covering sales to customers in the Geographic Area available
7 for inspection upon reasonable notice at the offices of Dillingham & Murphy, 225 Bush
8 Street, 6th Floor. San Francisco, California.
9 J. Kaiser Gypsum will make responsive documents sufficient to substantiate die 10 above information available for inspection upon reasonable notice at the offices of 11 Dillingham & Murphy, 225 Bush Street, 6th Floor, San Francisco, California. Kaiser 12 Gypsum regards and maintains its product formulas as confidential business 13 Information. Incident to the sale of production facilities in which asbestos-containing 14 products were previously manufactured, Kaiser Gypsum transferred its trade secrets, 15 intangible property rights, and other confidential and proprietary business information 16 and assumed obligations to maintain their confidentiality. Consistent with those 17 property rights and obligations, Kaiser Gypsum is prepared to produce the formulas for 18 asbestos-containing products marketed in the Geographic Area under a confidentiality 19 agreement. 20 HI. Products Made At Kaiser Gvosum^ Oregon Plant 21 From 1956 to 1978 Kaiser Gypsum owned and operated a plant located at St. 22 Helens, Oregon whose basic capability was to make building construction products by 23 compressing wood fibers extracted from wood chips to make various types of sheets 24 and boards used in constructing buildings. 25 A. Firtex Products - No Asbestos Used 26 The overwhelming majority of the products Kaiser Gypsum made at its Oregon 27 plant were sold with the trademark "Firtex." No product sold under this trade name ever 28 used asbestos as a component. Firte , products Included various types of matenals
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1 intended to provide insulation against outside temperatures or to dampen noise. Such 2 products included sheathing that was nailed to walls before outer layers of bricks or 3 siding were installed. They also included sheet products for insulating roofs. They also 4 included sound deadening board that was used in partitions to reduce the noise that 5 could be heard from adjacent rooms. 6 Firtex products also included materials intended for use on ceilings. One type
7 was tiles that could be glued or tacked to ceilings to reduce noise. Another group of a such products was used in suspended ceilings. Suspended ceilings are made by 9 hanging a wood or metal frame from the structural members of a ceiling and then laying 10 square or rectangular decorative and insulating pieces into the frame. Those pieces n were termed "lay-in boards." Such suspended ceilings used a significant amount of the 12 room's vertical space and because that vertical space cost money to build, suspended 13 ceilings were most commonly found in commercial buildings or office buildings, which 14 typically had higher ceilings than houses during the 1956-1978 period when Kaiser 15 Gypsum made the products. The Firtex line of products was quite successful, and 16 Kaiser Gypsum sold them in great volume. 17 8. Mineral Fiber Products
18
1. Kaiser Gypsum Ordinary And 1 -Hour Fire Rated 19 Mineral Fiberhoard Products^ No Asbestos Used 20 As high-rise buildings became mare common in California during the 1960's, 21 building code authorities became increasingly concerned about the risks offres in 22 those buildings and encouraged the development and use of products that were less 23 likely to bum. Since its Firtex wood-chip products would burn, Kaiser Gypsum sought 24 to develop other ceiling tile and lay-in board products that would be more resistant to 25 fire. Kaiser Gypsum found that the manufacturing machinery at its St Helens, Oregon 26 plant could be used to make ceiling tiles and lay-in boards for suspended ceilings with 27 various types of mineral wool as the principal component (instead of wood chips). 26 I Mineral wool is the name given to products made by heating various types of rock to
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1 extremely high temperature (where they melt), spinning them into threads, and then 2 letting them cool. Mineral wool looks something like steel wool that is used for rubbing 3 rust ofF of metal or used in certain kitchen scouring pads. Mineral wool does resist fire 4 and Kaiser Gypsum was successful in developing ceiling tiles and lay-in boards that 5 fire-resistance testing organizations certified as meeting the 1-hour fire resistance 6 classification. Kaiser Gypsum marketed such "Kaiser Gypsum mineral fiberboard" 7 products for many years. Kaiser Gypsum never used asbestos as a component in any 8 of its 1-hour fire rated products. 9 2. Two-Hour Fire-Rated Mineral Fiberboard, Underwriters' 10 Laboratories. Inc. Design - Asbestos Used As A Component u Fire code officials came to insist that in some types of buildings ceiling tiles or 12 suspended celling lay-in boards must be able to resist lire for at least 2 hours. Kaiser 13 Gypsum attempted to qualify mineral fiberboard products manufactured at its St. 14 Helens. Oregon plant under this standard, but initial efforts proved unsuccessful, 15 because, under the fire heat of test conditions, the square or rectangular mineral 16 fiberboard products would lose their shape in (ess than 2 hours, creating cracks 17 between the pieces that would let the fire through, causing the products to fail the test. 18 Eventually, Kaiser Gypsum discovered that if small amounts of asbestos were added, 19 the mineral fiber ceiling tiles and lay-ln boards could be made to hold their shape for 2 20 hours under the conditions of fire teste conducted by Underwriters Laboratories, and 21 those versions of the products received the desired 2-hour fire resistance classification. 22 Kaiser Gypsum marketed the 2-hour fire rated products, catted "Underwriters' 23 Laboratories Design" for about a decade, but the product was not very successful due 24 in part to its high cost. 25 Kaiser Gypsum's responses to interrogatory subparts A.- J. for this minor product 26 are as follows: 27 A. The trade name of this product, a mineral fiber product, was Kaiser Mineral 28 Fiberboard - UL. Fira Rated (Underwriters* Laboratories, Inc. Design). The same
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1 product was cut into ceiling tiles and Iay-in boards for use in suspended ceilings. It was 2 used for acoustical ceiling tile and suspended lay-in board in circumstances where a 23 hour fire resistance classification was specified. Both the ceiling tiles and the lay-in 4 boards were sold under the trade name "Kaiser Mineral Fiberboard-UL Fire Rated
5 (Underwriters' Laboratories, inc. Design)."
6 B. Kaiser Gypsum began manufacturing Mineral Fiberboard-U.L. Fire Rated
7 with chrysotile asbestos as a component in 1963.
8 C. Kaiser Gypsum tast manufactured Mineral Fiberboard-U.L. Fire Rated with
9 chrysotile asbestos as a component in 1974, when the 2-hour fire-rated product was 10 discontinued. 11 D. The plant that made this product was located at St. Helens, Oregon. This 12 product included 1.6% by weight chrysotile asbestos as a component. 13 E. This product consisted of ceiling tiles and iay-in boards with face side white 14 or colored and with a perforated or fissured design for acoustical treatment. The tiles 15 were 5/8" by 12" by 12" and the lay-in boards came in various sizes, the most common 16 being 1/2" or 5/8" by 24" by 24" and 1/2" or 5/8" by 24" by 48." They were packaged 17 and sold in boxes of various quantities. The boxes contained the name of the 18 manufacturer. Kaiser Gypsum Company, Inc., the name of the product and other 19 printed material. Kaiser Gypsum's 2-hour fire-rated ceiling tiles and suspended ceiling 20 lay-in board products (in which chrysotile asbestos was used as a component) were 21 required to be specially marked because they looked similar to other Kaiser Gypsum 22 mineral fiberboard ceiling tiles and iay-in boards (that did not contain asbestos as a 23 component) and building inspectors wanted to be able to check to make sure that 24 products with a 2-hour fire resistance classification actually were being used by the 25 building contractor when those had been specified, it is believed that 2-hour fire-rated 26 ceiling tile and suspended ceiling Iay-in board was stamped on the back with either the 27
initial "KG" or the word "Kaiser Gypsum." It is believed that this marking was employed
28
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1 during the entire period that the 2-hour fire-rated products were manufactured by Kaiser
2 Gypsum.
3 F. This product was used for acoustical ceiling tile and suspended lay-in board
4 in circumstances where a 2-hour fire resistance classification was specified.
5 G. Kaiser Gypsum is unsure as to the Intended meaning of 'The US.
6 Government's 'Qualified Products List*," but has no knowledge that any of its 2-hour
7 fire-rated mineral fiberboard products ever appeared on such a list.
a H. Kaiser Gypsum is aware of the following suppliers of asbestos:
9 John K. Bice
10 Harrison & Crosfield
11 Carmonia Chemical Co.
12 Western Chemical Co.
13 Philip Carey Corp. (Carey Canadian Asbestos)
14 Johns-Manville *
15 Union Carbide Corp.
16 E. S. Browning
17 Loomis Chemical Co.
16 Benson Chemical
19
Paul W. Wood (Johns-Manville)
.
20 Current addresses, if any, are not known to Kaiser Gypsum. Most of the specific
21 time periods during which these firms supplied asbestos are unknown.
22
* I. (1 through 3): Kaiser Gypsum is not aware of ever selling such products to
23 shipyards, power companies or refineries. Kaiser Gypsum sold such products to non
24 governmental customers in California from approximately 1963 to 1974. These
25 customers consisted largely of building contractors or building materials dealers 26 Kaiser Gypsum has some retained sales orders and sales invoices far some 27 years which identify the purchasers of Kaiser Gypsum products, the dates of sale, the 28 amount of ooch product sold, and. in some cases, the sites to which the products were
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l to be delivered. Sales orders and invoices are not organized by type of product (and 2( often individual documents cover sales of multiple products). Kaiser Gypsum will make
3 its retained sales records covering sales to customers in the Geographic Area available 4 for Inspection upon reasonable notice at the offices of Dillingham & Murphy, 225 Bush
5 Street, 6th Floor, San Francisco, California. 6 J. Kaiser Gypsum will make responsive documents sufficient to substantiate the
? above information available for inspection upon reasonable notice at the offices of 81 Dillingham & Murphy, 225 Bush Street, 6th Floor, San Francisco, California. Kaiser
9] Gypsum regards and maintains its product formulas as confidential business information. Incident to the sale of production facilities in which asbestos-containing
llj products were previously manufactured, Kaiser Gypsum transferred its trade secrets,
12 intangible property rights, and other confidential and proprietary business Information 13 and assumed obligations to maintain their confidentiality. Consistent with those 14 property rights and obligations, Kaiser Gypsum is prepared to produce the formulas for 15 asbestos-containing products marketed in the Geographic Area under a confidentiality
16 agreement.
17
,v` 18]
Types Of Products Kaiser Gypsum Never Made And Never Marketed
19 Kaiser Gypsum has never mined, milled or marketed asbestos. Kaiser Gypsum
20 never designed, manufactured, or marketed any product in which amosite, crocidolite or
21 other amphibole forms of asbestos were used as a component. Kaiser Gypsum never
22 designed, manufactured, or marketed floor tile, pipe insulation or pipe covering,
23 j refractory products, boiler insulation, acoustical plaster, or sprayed fireproofing or
24 sprayed thermal insulation products. Kaiser Gypsum never designed, manufactured or
25 marketed any sort of brake products. It never designed, manufactured or marketed 26 paper products, textile products, or roofing products in which asbestos was used as a 27 component. Kaiser Gypsum never designed, manufactured or marketed any products 28
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NO.741 P045/099
1 intended for use in ships or shipyards, or any products intended for use in trains or
2 other railroad equipment or railroad facilities.
3 V. 4
5
Null-A-Fire Type-X Gypsum Wallboard * Allegedly Contaminated Vermiculite Ore
This part of Kaiser Gypsum's response, though not directly called for by the
6 subject interrogatories, is being made in light of earlier versions of Kaiser Gypsum's 7 responses to standard interrogatories and evolving knowledge, in the context of
8 histoncai regulatory uncertainties and disputes about whether vermiculite ore used as a
9 component in some Kaiser Gypsum Null-A-Fire Type-X Gypsum Wallboard products
10 may have been contaminated in a way that caused certain workers to be exposed to
11 airborne "asbestos." Kaiser Gypsum's position is that no Kaiser Gypsum Null-A-Fire
12 Type-X Gypsum Wallboard using vermiculite ore as a component could have been a
13 substantial contributing factor to any disease caused by exposure to airborne asbestos
14 fibers.
15 As background, in 1954 Kaiser Gypsum introduced Null-A-Fire brand wallboard,
IS a 5/8" thick gypsum wallboard that was approved by the Research Committee of the
17 Pacific Coast Building Officials Conference and certified by the National Board of Fire
18 Underwriters for a one-hour fire rating. This product was developed in response to the
19 appearance of California building code requirements that walls in several types of public
20 buildings must have such one-nour fire resistance. The term one-hour fire rating meant
21 that, when used as a wall surface, the gypsum wallboard would resist the passage of
22 flame and heat for at least one hour. The certified product had to be made in
23 accordance with Underwriters Laboratories Code No. 3543. Wallboard products that
24 were fire rated were labeled as 'Type X" to distinguish them from ordinary gypsum
25 wallboard products that had not passed fire-rating tests. 26 When introduced in 1954, the primary component of Kaiser Gypsum's Null-A-Fire 27 wallboard was gypsum stucco, which is the gypsum plaster that forms the greatest 28 percentage by weight of all gypsum wallboard. Gypsum plaster, including wallboard
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1 stucco, does not bum, and consequently, atl gypsum plaster and gypsum drywall
2 construction poses less risk of fire than does wall construction featuring wood or plastic
3 paneling. However, the ordinaiy 5/8" gypsum waflboard did not pass the one-hour fire
4 test, because the heat of the test caused the gypsum plaster to shrink and crack, letting
5 the fire through in less than an hour. Kaiser Gypsum found that, by adding small
proportions of glass fiber and periite, a board could be constructed that would resist
7 shrinking and cracking under the heat of the fire test for the required one-hour period.
8 Periite is a very light substance, white in color, that looks like puffed breakfast cereal. It
9 is often used in soil for potted plants to help keep the soil from caking. Periite is made
10 by heating little pieces of volcanic glass to very high temperatures, which causes them
11 to pop like popcorn.
12 Kaiser Gypsum continued to market its NuD-A-Fire Type X gypsum wallboard
13 products that contained periite for more than a decade following their introduction in
14 ' 15
16 17
1954. However, other manufacturers introduced fire-rated wallboard products that used vemniculite instead of perlite to provide added fire protection. Vermiculite is a mica-like mineral found in the ground in a number of places. In the 1890's it was known by gold prospectors as "fool's gold," because it sparkled in the sun like precious metal.
IB Vermiculite does not weigh much, which makes it useful as a component of 19 construction materials, and the melting point of vermiculite Is about 2500 degrees,
20 which makes it valuable as fireproofing. 21 Vermiculite consists of many layers of thin plates that have small amounts of 22 water trapped in them. When heated, the water turns to steam causing these plates to 23 expand. Such expanded vermiculite is used by nurseries everywhere to help hold air 24 and moisture in plant soil so that young plants will grow faster and stronger. 25 Until 1965. Kaiser Gypsum could not use vermiculite to provide fire protection in 26 gypsum wallboard. because other companies had secured patents from the United
27
States government which gave them exdusive rights to use vemniculite in their gypsum 28 wallboard products, in isos, Kaiser Gypsum secured patent licenses from other
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1 I companies which authorized Kaiser Gypsum to begin using vermiculite in its wailboard 2 products to provide increased protection against fire. Kaiser Gypsum then began to 3 develop such wailboard products and to present them for fire-testing. Since vermiculite
4 expands when it ts heated, vermiculite used in a wailboard tends to offset the shrinkage
5 that occurs in gypsum when it is heated, and thus, vermiculite could serve to help a
6 wailboard to hold its shape and provide the desired fire protection. Because the
7 capacity to expand was desired, the Kaiser Gypsum products used as the ingredient
B vermiculite that had not previously been heat-expanded. This unexpanded vermiculite
9 was referred to sometimes as vermiculite ore. When testing and fire code authorities
10 recognized and certified these Kaiser Gypsum products as fire-rated, or qualified to be
11 marketed as Type X.1' Kaiser Gypsum began marketing vermiculite-containing gypsum 12 wailboard under its Null-A-fire brand. Kaiser Gypsum manufactured limited quantities of 13 1/2" Null-A-Fire Type X wailboard beginning in 1967, and began manufacturing 5/6" 14 Null-A-Fire Type X wailboard in 1969. it continued to market such products until it 15 disposed of the last of rts gypsum business in April 1978. Like other wailboard 16 products, those Null-A-Fire wallboards consisted primarily of gypsum plaster. The 17 formulas varied over the years but the vermiculite ore percentage did not exceed 4% by 18 weight of the products. 19 Controversy concerning vermiculite reflects the regulatory proposals published 20 and regulations adopted by the U.S. Occupational Safety and Health Administration 21 ("OSHA") and the responses of vermiculite companies to those government actions. 22 OSHA is a U.S. government agency, created by federal legislation in 1970, that adopts 23 and enforces workplace safety and health regulations. OSHA has been politically 24 controversial from the beginning. California originally established a parallel state 25 program administered by its Division of Occupational Safety and Health, but that 26 agency and program were terminated several years ago. 27 The federal OSHA undertook to regulate exposure to "asbestos" in the 28 workplace as one of its first regulatory undertakings, and OSHA adopted regulations on
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06/24/01 14:32 KMESft * 17606033701
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X asbestos in 1972. (See Kaiser Gypsum's response to Interrogatory No. 37, below.) 2 Thereafter, it undertook to enforce those regulations. In due course, it began to 3 threaten manufacturers who used various substances other than asbestos with charges 4 of violating the OSHA asbestos exposure regulations. This triggered a long-lasting
5 legal and scientific dispute concerning what minerals are "asbestos" for purposes of the
6 OSHA regulations and what minerals should be regulated like asbestos even if they are
7 not asbestos. S In that context, vermiculite supplier W.R. Grace & Co. (hereinafter "Grace") 9 issued an "important Notice to Vermiculite Ore Processors," dated March 17,1976
10 warning that "employers of workers handling vermiculite ore" should be "aware of the 11 OSHA regulations," because OSHA was applying them to Grace vermiculite plants and 12 proposed to make the regulation of dust more strict under the regulations. Grace stated 13 that the issues related to vermieulite reflected a "tramp" mineral "found in vermiculite 14 deposits" named "tremolite, defined by OSHA as one of the asbestos family." Disputes 15 over these OSHA proposals persisted for years. Then, on June 20,1986, OSHA 16 published in the Federal Register fat 51 Fed. Reg. 22612) a "Final Rule" that defined 17 "asbestos" to include "tremolite" and applied asbestos exposure limits and warnings to 18 tremolite. However, shortly thereafter those regulations were "stayed," that is, not 19 made effective, by OSHA as to tremolite and several other minerals to prevent the 20 federal courts from deciding whether the regulations were "arbitrary and capricious." 21 (See 51 Fed. Reg. 37002; Oct. 17,1986.) The scientific and regulatory debate 22 continued for more years until OSHA published regulations in 1992 (57 Fed. Reg. 23 24310; June 8,1992) declaring that some tremolite is "platy" or non-fibrous. and "platy 24 tremolite" would not be deemed to be asbestos. 25 However, OSHA found other tremolite was fibrous or "asbestiform" and that such 26 "asbestiform tremolite" would be regulated as asbestos. OSHA further limited these
27
regulations by providing that even products with asbestiform tremolite would not be
28
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NO.741 P049/099
subject to asbestos regulation if asbestiform tremolite "Is present in a product in
2 concentrations (ess than 1.0 percent by weight." 3 Kaiser Gypsum admits that for a limited number of years some of its Nuli-A-Fire 4 products contained vermicuiite, but Kaiser Gypsum denies that these products
5 contained asbestiform tremolite. Kaiser Gypsum further contends that any attempt 6 under state law to deem any products that have less than the amount that would
7 subject them to federal regulation to be asbestos-containing products would be
B preempted by federal law and the Supremacy Clause of the U.S. Constitution.
9 RESPONSE TO INTERROGATORY NO.32:
10 Not applicable. 11 SESPPK5JQJNTERRP9ATQBYJSlQJi3^ 12 Not applicable. 13 RESPONSE TO INTERROQATOBYLNd 34: 14 Not applicable. 15 RESPONSE TO INTERROGATQBY NO. 35: 16 Kaiser Gypsum is unaware of entenng into any such rebranding agreements. 17 RESPONSE_TQ INTERROGATORY NO. 36; 18 During 1952 Kaiser Gypsum purchased Joint Cement. Cover-Tex texture paint 19 and Kaiser-Tex texture paint from Wesco Waterpaints. Inc., then located in Berkeley, 20 California, that was packaged in Kaiser Gypsum's name. It is unknown to Kaiser 21 Gypsum whether asbestos was used as a component of those products. Dunng 22 December 1953, Kaiser Gypsum entered into an agreement with Wesco Waterpaints. 23 inc.. then located in Berkeley. California, to purchase joint cement, topping compound 24 and texture paint packaged in Kaiser Gypsum's name for a period of 90 days. It is 25 unknown to Kaiser Gypsum whether any purchases were made pursuant to this 26 agreement or whether any products purchased had asbestos as a component In an 27 abundance of caution, Kaiser Gypsum is providing the information it has obtained from 29 its records. Kaiser Gypsum has no information demonstrating that any product
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obtained from Wesco Waterpalnts, Inc. was an asbestos-containing product. Kaiser
2 Gypsum knows of no other agreement entered by it that provided for rebranding any 3 product of another company's which may have been an asbestos-containing product in 4 Kaiser Gypsum's
5 name for sale in California. 6 RESPONSE TO INTERROGATORY NQ, 37:
7 Yes, as to products marketed in 1972 or thereafter. 8 A. Beginning in 1972, in response to regulations adopted by the U.S.
9 Occupational Safety and Health Administration (see 37 Fed. Reg. 11318, June 7,
10 1972), Kaiser Gypsum affixed caution labels to the packages and containers of its
11 asbestos-containing products. The OSHA regulations requiring this label were made 12 subject to the limitation that "no label is required where asbestos fibers have been 13 modified by a bonding agent, coating, binder, or other material so that during any 14 reasonably foreseeable use, handling, storage, disposal, processing, or transportation, 15 no airborne concentrations of asbestos in excess of the exposure limits prescribed in 16 paragraph B. of this section will be released." in light of then-existing ambiguities as to 17 what tests OSHA would recognize as adequate to demonstrate a product's falling within 18 this exception, Kaiser Gypsum applied the caution label to all its then-manufactured 19 products in which chrysotile asbestos was used as a component. 20 initially, the labels were four inches by eight Inches in size and had yellow 21 backgrounds with red letters. They were affixed to the bag or container of the product 22 by adhesive in a prominent place. Later, as new bags and containers were purchased, 23 the labels were printed onto the side of the bag or container and are believed to have 24 been the same color or colors as the bag/container or the printing thereon. The warning 25 label as prescribed by OSHA read: 26 CAUTION: contains asbestos fibers: avoid creating dust; 27
breathing asbestos dust may cause serious bodily harm. 28
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1 Additionally, Kaiser Gypsum Technical Bulletins 57Q3-A, dated October 1973, 2 and 5707, dated October 1973 and November 1976, prescribed the use of respirators 3 during spray application.
4 B. Yes.
5 C. Beginning in 1972; exact date unknown.
6 0. This caution label remained the same during the remaining time the products 7 upon which it was used continued to use asbestos as a component
8 E. Joseph R. Hobby. Vice President. 26S0 Bishop Drive. San Ramon,
9 California. IQ RESPONSE TO INTERROGATORY NO. 38;
11 Most of Kaiser Gypsum's products were sold in the form of a powder or paste;
12 therefore, the name of the company was on the packaging of the product. However, 13 Kaiser Gypsum's 2-hour fire-rated ceiling tiles and suspended ceiling iay-in board 14 products (in which asbestos was used as a component were specially marked because 15 they looked similar to other Kaiser Gypsum mineral fiberboard ceiling tiles and lay-in 16 boards (that did not contain asbestos as a component) and building inspectors wanted 17 to be able to check to make sure that 2-hour fire-rated products actually were being 16 used by the building contractor when those had been specified, it is believed that each 19 piece of 2-hour fire-rated ceiling tile and suspended ceiling lay-in board was stamped 20 on the back with either the initial "KG" or the word "Kaiser Gypsum." Such marking was 21 employed during the entire period that the 2-hour fire-rated products were 22 manufactured by Kaiser Gypsum. 23 RESPONSE TO INTERROGATORY NO. 39: 24 Kaiser Gypsum has no knowledge that it ever purchased or otherwise acquired 25 an asbestos-containing product line from another person or entity. 26 RESPONSE TO INTERROGATORY NO. 40: 27 Kaiser Gypsum has no knowledge that it oversold an asbestos-containing 2a product line to another person or entity.
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1 RESPONSE TO INTERROGA_TOR3g.NO. All 2 A - C: Kaiser Gypsum has retained a number of brochures, pamphlets, catalogs 3 and other product information documents. Many of these documents discuss both 4 asbestos-containing products and other products, and many of the documents are 5 similar. For these reasons, rather than attempting to identify each individual document, 6 Kaiser Gypsum will make representative documents available for inspection upon 7 reasonable notice at the offices of Dillingham & Murphy, 225 Bush Street, 6th floor, San
8 Francisco. California.
9 D. To provide potential users of such products with information about the
10 products.
11 E. Some of these documents still exist
12 F. See response to A - C.
13 G. Joseph R. Hobby, Vice President, 2680 Bishop Drive, San Ramon.
14 California.
'
15 RESPONSE TP INTERROGATORY NO. 42:
16 The interrogatories define "contract unit" to "mean a branch or division of a 17 defendant which has been or i$ now engaged in installation and/or removal of 'raw 18 asbestos fibers1 and/or 'asbestos-containing products'." Kaiser Gypsum never has had 19 such a unit 20 RESPONSE TO INTERROGATORY NO. 43;
21 Not applicable. 22 RESPONSE TOIMTERROQATORY-NO.A4r 23 In the mid to late I9$0's Kaiser Gypsum became generally aware from media, 24 industry and governmental publications of allegations that inhalation of asbestos fibers 25 could have potential health consequences 26 RESPONSE TO INTERROGATORY NO. 45:
See response to Interrogatory No. 44. RESPONSE TO INTERROGATORY NO. 46:
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HO.741 P053/033
1 Kaiser Gypsum will make documents containing the information requested
2 available for inspection upon reasonable notiee at the offices of Dillingham & Murphy,
3 225 Bush Street, 6th Floor, San Francisco, California.
4 RESPONSE TO INTERROGATORY NO. 47:
5 Beginning in the mid 1960's, Kaiser Gypsum warned its employees concerning
6 the hazards of inhaling asbestos dust or fiber and its employees were given additional
7 instructions regarding the wearing of protective clothing, use of respirators and other
S methods of avoiding or limiting inhalation of asbestos.
9 A. Memoranda distributed to safety supervisors advised the use of approved
10 respirators during exposure to asbestos dust 11 B Yes. 12 C. Joseph R. Hobby. Vice President, 2660 Bishop Drive, San Ramon,
13 California. 14 D. See response to subpart A. 15 RESPONSE TO INTERROGATORY NQ^6:
.
16 Kaiser Gypsum has no knowledge that it ever issued such a policy.
17 RESPONSE TO INTERROGATORY NO. 49:
ia Yes. See responses to Interrogatory Nos. 37 and 47.
19 RESPONSE TO INTERROGATORY NO. SO:
20 Yes.
21 A. 29 CFR 1910.93(e).
22 8. November 2.1973
23 C. OSHA.
24 D. Unknown.
25 E. Kaiser Gypsum believes the conditions alleged to be violations were
26 changed in a manner satisfactory to OSHA. 27 RESPONSE T0JNT5RR0GA.TQRY_N0.JS1 : 2a
Not applicable.
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II RESPONSE TO INTERROGATORY NCLS2i 2 Not applicable. 3 RESPONSES INTERROGATORY-MO. 83: 4 Yes. 5 A. Kaiser Gypsum shipped asbestos-containing products through ports located
6 in the Geographic Area. 7 8 - 0: Kaiser Gypsum sales orders and sales invoices show that asbestos-
8 containing products were shipped through the following berths located in the 9 Geographic Area during the years 1968 through 1975: Matson Contract Yard; Matson
10 Lines Dock, Matson Lines, Berth 208; Peters/Matson; Peters/NML; Delta Terminal, 11 Richmond; Berth 154; Terminal 1, Berth 3; Encinal Terminal; San Francisco; 9th 12 Avenue Pier, Oakland; and Berth 0.7th Street, Oakland.
13
14 DATE: 15
DILLINGHAM & MURPHY
16 17 18 19 20
21 i tejvWraVtBirA&fg.ctt
Bv: & .
Patrick j./Hagan, esq. E. JANE WELLS, ESQ. Attorneys for Defendant Kaiser Gypsum Company, Inc.
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NO.741 P055/0S9
VERIFICATION
2 I, the undersigned say:
3 I have read the foregoing document; to the extent that the information set
4 forth in the foregoing document is personally known to me, the information is true and
5 correct to the best of my knowledge; to the extent that the information set forth in the
6
foregoing document is not known to me but is required by iaw to be provided in said
7
e responses, I believe the responses to be correct; to the extent that the responses state
9 legal objections, the responses have been prepared by my attorneys based on their
10 work product and other information known to them, and are not within my personal
n
knowledge.
12
13 I declare under penalty of perjury under the laws of the State of California,
14 that the foregoing is true and correct.
H15 Executed this *1 day of
IS
California.
17
1997, at San Ramon,
IS
19
20
21 JOSEPH R. HOBBYJ
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26
IM *g SAM FRANCISCO COUMTYCOMPlgX ASBESTOS LITIGATION
27 Suflflnor CourtAe&an NO.. 620684
tar DEFENDANT KAISER GYPSUM COMPANY, INC'S RESPONSES
28 TO PLAINTIFFS' STANDARD INTERROGATORIES TO AU DEFENDANTS
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