Document LKwdbNnLpKY5EzRR75GLbY6kg
FILENAME: Flintkote (FLK)
DATE: 2001 Nov 15
DOC#: FLK079
DOCUMENT DESCRIPTION: Legal - Deposition of John C. Schmitt with BC Notes
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VIRGINIA: IN THE CIRCUIT COURT FOR THE
3
CITY OF NEWPORT NEWS
4
VIRGINIA CONSOLIDATED,
5
Plaintiff
vs .
6
A .P . GREEN,
7
Defendant
NO. CL99-2000-00
8
9
10
11
DEPOSITION OF JOHN C. SCHMITT
12
Taken at the Four Points Sheraton,
13
3400 Airport Road, Allentown, Pennsylvania, on
14
Thursday, November 15, 2001, commencing at 10:40
15
a.m., before Daniel R. Stout, Certified Court
16
Reporter, Notary Public.
17
18
19
20
21
22
23
**
24
A. WILLIAM ROBERTS, JR., & ASSOCIATES
25
2
1
2
3
4
APPEARANCES :
5
NESS, MOTLEY, LOADHOLT, RICHARDSON &
6
POOLE
By: NICHOLAS J. VOGELZANG, ESQUIRE
7
174 East Bay Street, 2nd Floor
Charleston, SC 29401
8
843-216-9000
-- For the Plaintiff
9
10
MC CARTER & ENGLISH
By: ERIC J. KADISH, ESQUIRE
11
One Commerce Square
2005 Market Street, Suite 3600
12
Philadelphia, PA 19103
215-557-7700
13
-- For The Flintkote Company
and the Witness
14
15
The following attorneys identified themselves and
were listening to the testimony via conference
16
phone:
17
Michael Smith, Esquire
National Counsel for The Flintkote Company
18
John Owen, Esquire
19
Counsel for The Flintkote Company
20
Suzanne Bruney, Esquire
Counsel for ACandS, Inc.
21
22
23 * Jr
24 A. WILLIAM ROBERTS, JR., & ASSOCIATES
25
3
1
2
3
4
5 INDEX TO WITNESSES
6
7
Name of Witness
Page
8 John C. Schmitt - by Mr. Vogelzang ......... 4
9
10
11
INDEX TO EXHIBITS
12
Exhibit
Page
13
A - Resume of witness ...................... 8
B - Multipage document entitled Flintkote . 44
14
Asbestos Industrial Products
15
16
17 INDEX TO OBJECTIONS
18
19
Page Line
20
Objection by Mr.Radish .............. 52 12
Objection by Mr.Radish .............. 54 24
21
Objection by Mr.Radish .............. 81 18
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23 24 25
J.C. Schmitt/Vogelzang
4
1
2
* * *
3
JOHN C. SCHMITT, having been duly
4 sworn, was examined and testified as follows:
5 BY MR. VOGELZANG:
6
MR. KADISH: Initially I just want to
7 put a statement on the record.
8
My name is Eric Kadish. I'm here
9 representing The Flintkote company, and I'm also
10
representing Mr. John Schmitt, who is being
11
presented as a witness as someone who is
12
knowledgeable with respect to products that
13
Flintkote made, and Mr. Schmitt is a former employee
14
of The Flintkote Company. With that, we can
15
proceed.
16
MR. VOGELZANG: All right, and this
17
is the Discovery deposition of John Schmitt taken
18
pursuant to Notice with other attorneys listening in
19
and participating via conference call, and this is
20
taken pursuant to all applicable Court Rules.
21
BY MR. VOGELZANG:
22
Q.
Mr. Schmitt, have you ever been deposed
23
before?
24
A.
Yes.
25
Q.
Just so it's on the record and as you
J.C. Schmitt/Vogelzang
5
1 probably know, please allow me to finish all my
2 questions before responding and I'll allow you the
3 same courtesy of finishing your answers. If you
4 don't understand a question, please let me know and
5
I'll rephrase it. If you answer it, I'll assume
6
that you understood it.
7
If you need to take a break at any
8 time, let me know, and, as always, may sure to give
9 an audible response so that the Court Reporter can
10
it down. Is that clear and sound good to you?
11 A.
That is clear, yes.
12
Q.
Will you please state your name and
13
address?
14
A.
John, middle initial C,Schmitt,
15
S-c-h-m-i-t-t. Address is 206 Treeline,
16
T-r-e-e-l-i-n-e, Drive, Pen Argyl, P-e-n A-r-g-y-1,
17
Pennsylvania, 18072.
18 Q.
And what is your date of birth?
19 A.
December 27th, 1920.
20
Q.
Are you currently retired?
21
A.
Yes.
22 Q.
And how long have you been retired? What
23
year did you retire?
24
A.
Retired in December of 1985.
25
Q.
And you retired from The Flintkote
J.C. Schmitt/Vogelzang
6
1
Company, is that correct?
2
A.
That's correct.
3
Q.
4 A.
Do you know who Christine Hamilton is? No, I do not.
5
Q.
Christine Hamilton was identified by The
6
Flintkote Company as the person who was the
7
representative of The Flintkote Company. Have you
8
had any communications with that person?
9 A.
No.
10
Q.
Are you being paid for your testimony
11
today?
12
A.
Yes.
13
Q.
14
A.
And what is your rate? Rate is one hundred and fifty dollars per
15
hour.
16
Q.
And does that include any meeting time
17
with the attorney?
18
A.
Yes, it would.
19
Q.
Did you do anything today to prepare for
20
the deposition?
21
A.
No, I did not.
22
Q.
Did you bring any documents with you
23
today in anticipation of this deposition?
24
A.
No, sir.
25
Q.
Where did you attend undergraduate
J.C. Schmitt/Vogelzang
7
1 school? Where did you go to college?
2 A.
First undergraduate study was Cooper
3 Union Institute in New York City. That was
4
interrupted by military service. Completed the
5
studies in the BrooklynPolytechnic Institute, also
6 New York City.
7 Q.
What was your area of study?
8 A.
Chemical Engineering.
9 Q.
And did you graduate with a Bachelor of
10
Science?
11 A.
Bachelor of Chemical Engineering.
12
Q.
And then did you pursue any other degrees
13
after college?
14 A.
I took some postgraduate courses, but I
15
never reached the degree level.
16 Q.
And what were those courses in?
17 A.
Industrial Engineering, Industrial
18
Statistics. That covers the subjects.
19 Q.
And what did you do after you took those
20
postgraduate courses?
21
A.
Well, I was working for The Flintkote
22
Company at that time.
23
Q.
What year did you begin working for The
24
Flintkote Company?
25
A.
June of 1947.
J.C. Schmitt/Vogelzang
1 Q.
I'm going to show you what has been
2 identified as Exhibit A. It's what I believe is
3 your resume. If you could review that and make sure
4 it's up to date and correct?
5 A.
Well, I've reviewed it, and it is not up
6 to date.
7 Q.
Do you have an up-to-date resume with
8
you?
9 A.
No, sir, I do not.
10 Q.
And what is missing from the resume I
11
handed you on Exhibit A?
12 A.
Well, this resume brings it up to the
13
Product Development Manager, which started in
14
February of 1965. What it omits is 1970, when I was
15
named as the Administrative Assistant to the
16 Corporate Director of Research and Development, and
17
I held that position from 1970 until 1974, when I
18 was named to Product and Plant Safety Manager for
19
The Flintkote Company, and I held that position from
20
1974 until I retired in 1985.
21
Q.
Is there anything else missing from your
22
resume?
23 A.
Nothing else that I can see.
24
Q.
Have you ever taken any courses in
25
Industrial Hygiene?
J.C. Schmitt/Vogelzang
1 A.
No.
2 Q.
Have you ever taken any courses or
3 classes on asbestos?
4 A.
No.
5 Q.
What was your position with The Flintkote
6 Company when you began in 1947?
7 A.
The title was Control Chemist, working in
8 a department on product specifications and product
9 quality.
10
Q.
And how long did you hold that position?
11 A.
I think it was until about 1950. I think
12
it was 1950 to 1951 I was the Plant Chemist in the
13
East Rutherford manufacturing plant.
14
Q.
As a Control Chemist between 1947 and
15
1950 or '51 in East Rutherford, did you work with
16
asbestos in any way?
17
A.
No. Well, from 1947 until about 1950 I
18
was working in an office. The period from 1950 to
19
1951 I supervised the laboratory technicians and
20
inspectors in the various manufacturing facilities.
21
Q.
And how did that job duty involve
22
asbestos?
23 A.
Well, some of the products that we made
24
contained asbestos fiber.
25
Q.
And this is in East Rutherford?
J.C. Schmitt/Vogelzang
10
1 A.
Yes, East Rutherford, New Jersey.
2 Q.
What products were made during that
3 period while you were supervising in the lab?
4 A.
There were two general products. One was
5 the liquid products, asphalt liquid products and the
6 mastics and adhesives. Some of those products
7 contained asbestos fiber. And the other product
8 that contained asbestos was the asbestos cement
9 siding.
10
Q.
And when you say supervised the lab, what
11
do you mean?
12
A.
Well, I was responsible for the -- I
13
don't recall how many laboratory technicians -- they
14
were running the regular product tests and quality
15
control tests on the raw materials and the finished
16 products, and I also supervised the inspectors that
17
were along the product lines that were doing the
18
visual inspection of the product. I just made sure
19
that they did their job the way they should.
20 Q.
And the workers in the lab, did they wear
21
any type of respiratory device or mask during that
22 time?
23 A.
No, they did not.
24
Q.
As a supervisor for the East Rutherford
25
Plant from 1947 to roughly 1951 were you aware of
J.C. Schmitt/Vogelzang
11
1 any other companies or plants similar to yours where
2 they required workers to work masks or respirators?
3 A.
I was not aware of that.
4 Q.
After 1951 did you get promoted or switch
5 to a different job?
6 A.
I returned to the original department
7 that I started working in in 1947 and eventually I
8 became the Manager of that department. Title was
9 General Manufacturing Chemist.
10 Q.
And did you remain at the East Rutherford
11
Plant?
12 A.
That was in the East Rutherford location,
13 but it wasn't in the plant. It was in the office
14
near the plant.
15
Q.
And how long did you hold the position of
16 General Manufacturing Chemist?
17 A.
Until I guess it was until 1962.
18
Q.
So from about 1951 to 1962 you were the
19 General Manufacturing Chemist at the Flintkote
20
office in Rutherford?
21 A.
I think the period was 1953 to 1962.
22
Q.
Okay. And what were your job duties as
23
the General Manufacturing Chemist?
24 A.
I supervised the three chemists, control
25
chemists that worked in that department, and as I
J.C. Schmitt/Vogelzang
12
1 said earlier that department was involved in
2 maintaining product specifications for all of the
3
Flintkote products and maintaining a quality control
4 surveillance for all of the products.
5 Q.
When you say all of the products, do you
6 mean all of the products coming out of the East
7 Rutherford Plant or all of The Flintkote Company?
8 A.
All of The Flintkote Company.
9 Q.
How many -- . Strike that.
10
What locations did The Flintkote
11
Company maintain during your tenure as General
12
Manufacturing Chemist from 1963 -- 1953 to 1962?
13 A.
Well, in addition to the East Rutherford,
14
New Jersey plant, there were two plants in Chicago
15
Heights, Illinois, a plant in New Orleans,
16
Louisiana, plant in Vernon, California near Los
17 Angeles. There was a felt mill in Ridgefield Park,
18
New Jersey. There was a rubber products plant in
19 Whippany, New Jersey. There was a felt mill in
20
Mount Carmel, Illinois. There was a board mill in
21 Meridian, Mississippi. There was an adhesives plant
22
in Manyunk, just outside of Philadelphia,
23
Pennsylvania. I can't rule out any others. Right
24
now I can't recall any others.
25
Q.
That's fine, and if later on you remember
J.C. Schmitt/Vogelzang
13
1 another plant, if you could just let me know?
2 A.
Yes, sir.
3
Q.
So is it fair to say that you were
4
familiar with all the Flintkote products at that
5
time on some level?
6 A.
That's correct.
7
Q.
Were you in control of how much, if any,
8 asbestos was mixed into The Flintkote Company's
9
products?
10 A.
No.
11
Q.
Who was in charge of that?
12
A.
That would have been either the Plant
13
Chemists in the -- in whatever plant was involved or
14
it would have been someone in the Research and
15
Development Department that developed the product.
16
Q.
What were some ofthe factors that
17
determined whether asbestos was used in a Flintkote
18
product?
19
A.
Well, I don't knowbecause Iwasn't
20
involved in any of the original formulation of the
21
products, so I don't know what the reason was for
22
incorporating asbestos fiber.
23
Q.
Were you ever present in any meetings
24
while at The Flintkote Company that discussed
25
whether or not to use asbestos in the products?
J.C. Schmitt/Vogelzang
14
1 A.
No.
2 Q.
So I take it you were never a Plant
3 Chemist, is that correct?
4 A.
I was a Plant Chemist in the East
5 Rutherford Plant for that one year period in 1950.
6 Q.
And as a Plant Chemist in 1950, you never
7 determined how much asbestos was used in any of the
8 products?
9 A.
I never had the responsibility for
10
determining how much should be in there. We made
11
the products according to formulations which had
12
been established prior to -- prior to my time with
13
The Flintkote Company really, and my duties were
14
just to make sure that the proper amount was used.
15
Q.
Well, since you were a Plant Chemist
16
could you tell me why asbestos was used or what were
17
the factors that determined it?
18 A.
No, sir, I could not.
19
Q.
And is that because you never needed to
20
know that as a Plant Chemist?
21
A.
I never needed to know, no. The formulas
22
were established by someone in the Research
23
Department or somebody prior to my employment with
24
Flintkote and I had no reason to know why they used
25
it.
J.C. Schmitt/Vogelzang
15
1 Q.
Then in 1962 you switched positions with
2 The Flintkote Company?
3 A.
Yes.
4 Q. 5 title?
And what did you -- what was your new
6 A.
I was named Product Manager for flooring
7 and adhesives.
8 Q. 9 A.
How long did you hold that position? That was until 1965. The title changed
10
somewheres in there, but I held the same position
11
until 1965.
12
Q.
Did your title change to Assistant
13
General Manufacturing Manager?
14
A.
Yes.
15
Q.
But it was essentially the same job
16
duties?
17 A.
It was the same job.
18
Q.
And how would you describe your job
19
duties from 1962 to 1965?
20
A.
Well, I reported to the Vice-president of
21
Manufacturing and my responsibilities were to
22
oversee the operations of the plants that made floor
23
tile and made the liquid coating and adhesive and
24
mastic line.
25
Q.
And since you were an overseer, does that
J.C. Schmitt/Vogelzang
16
1 mean you were at meetings all day or what would you
2 do --
3
A.
Well, no. Sorry. I kept in touch with
4
the plants through correspondence and through phone
5
conversations with the Plant Managers. I followed
6 their progress in sales, in quality, labor
7
relations, costs, primarily costs, and the general
8
relations with the Sales Department. I made certain
9
that they followed all of the good operating
10 procedures of The Flintkote Company with respect to
11
labor relations and costs and product quality and
12
service. It was just another arm of the
13
Vice-president of Manufacturing.
14
Q.
When you oversaw the labor relations, was
15
this at -- which plant was this at?
16
A.
Well, this would have been at Chicago
17
Heights tile plant, the Chicago Heights liquid
18
products plant, the East Rutherford liquid products
19
plant and the New Orleans liquid products and floor
20
tile plant. We had another plant in -- for a brief
21
period of time -- in Massachusetts, just outside of
22
Boston. We had another plant for a brief period of
23
time in Whippany, New Jersey, floor tile plant. So
24
those were the plants that I was involved with.
25
Q.
When you dealt with labor relations,
J.C. Schmitt/Vogelzang
17
1 would you deal with the employees of The Flintkote
2 Company through a Union?
3 A.
No. I followed labor relations through
4 the Works Manager or the Plant Manager of the plant
5 and through the corporate personnel and the plant
6
Personnel Departments. The actual negotiations were
7 done by a negotiating committees in the plant and by
8 the Plant Manager.
9 Q.
Did you ever deal with employees on a
10
face-to-face basis?
11 A.
No.
12
Q.
From 1962 to 1965 as a Product and
13
Quality Manager, did you ever hear of any complaints
14
from employees regarding lung problems?
15
A.
No.
16
Q.
Did you deal with any type of injury of
17
the workers from 1962 to '65?
18 A.
Not specifically dealing with injuries to
19
workers or any health problems with the workers.
20
What I would look at was the overall safety record
21
and injury record of the particular plants that I
22
was concerned with.
23
Q.
If there was a dangerous condition in one
24
of the plants that was injuring the workers, would
25
that ever get to you up the chain of command and
J.C. Schmitt/Vogelzang
18
1 would you ever have the authority to fix that
2 problem?
3 A.
It's difficult to answer. I don't know
4 of any dangerous conditions, but if there were
5 hypothetically some condition in a plant which posed
6 a danger for the employees, I would expect to be
7 notified of it and I would follow up with some
8 measures taken at local level to correct it, if that
9 occurred.
10
Q.
You listed several plants that you were
11
Product and Quality Manager for from 1962 to '65.
12
Did all of those plants that you mentioned in all
13
the different cities have asbestos products in them?
14 A.
Yes, all of those did.
15
MR. KADISH: Excuse me.
16 Clarification. Do youmean asbestos being
17 manufactured or asbestosproducts located in the
18 plant?
19
MR. VOGELZANG: Sure, I'll ask both.
20
BY MR. VOGELZANG:
21
Q.
All those plants that youmentioned from
22
1962 to '65 that you oversaw, were they all
23 manufacturing asbestos products for The Flintkote
24
Company?
25
A.
Yes, they were.
J.C. Schmitt/Vogelzang
19
1 Q.
During the time between 1962 and 1965 you
2 never received any complaints or notices about any
3
workers having lung problems, is that correct?
4 A.
That's correct.
5 Q.
Were there any types of safetyproblems
6 from 1962 to 1965 that you had to address personally
7
for the workers?
8 A.
None that I recall, no.
9 Q.
From 1962 to 1965 in the plants that you
10
were in charge of was there any type of ventilation
11
system that was put in place to control the dust
12
level that was in those plants?
13
A.
Are you referring to installations that
14
were put in during that period of time?
15
Q.
I'm referring to when the products, the
16
asbestos products were manufactured in the Flintkote
17
plants.
18 A.
Well, all of the plants that used
19
asbestos fiber in their production had ventilation
20
and dust collection systems in there, which was
21
prior to 1962.
22
Q.
Do you know when those ventilation
23
systems were installed?
24
A.
No, sir, I do not.
25
Q.
Do you know why those ventilation systems
J.C. Schmitt/Vogelzang
20
1 were installed?
2 A.
Well, they were installed to remove dust
3
from the plant atmosphere, not only asbestos but
4 there were other dusty materials that were in use,
5 too.
6 Q.
Was that for the health of the workers
7 that the ventilation system was installed?
8 A.
I don't know why they were installed.
9 Actually those installations preceded my employment
10
with the company in 1947.
11
Q.
Did you ever upgrade or were you ever in
12
charge of any problems with those ventilation
13
systems from 1962 to '65 in any of the Flintkote
14
plants?
15
A.
I was never aware of any problems with
16
them. I don't know of any upgrade, but that would
17
have been an Engineering Department function and not
18 my function.
19
Q.
And then in 1965 -- . Strike that.
20
Between '62 and '65 I assume you
21
travelled to all these different plants?
22
A.
Yes, I did.
23
Q.
And you would walk through them at times
24
to make sure everything was okay?
25
A.
Yes.
J.C. Schmitt/Vogelzang
21
1 Q.
Then in 1965 you were put in a new
2 position for The Flintkote Company?
3 A.
Yes.
4
Q.
What position was that?
5
A.
That was Product Development Manager for
6
flooring products.
7
Q.
What were your job duties as Product
8 Development Manager?
9 A.
I supervised two and for a period of time
10
three chemists, research chemists, in the research
11
laboratories located in Whippany, New Jersey. Our
12
function was to develop new products, if new
13
products had to be developed, and to follow up on
14
any quality problems that existed in the plants or
15
that we learned of through the Sales Department, and
16
to evaluate raw materials, raw material sources for
17
the flooring products, make any design changes
18
requested by the Sales Department, conduct technical
19
service out in the field for the Sales Department.
20
Q.
What flooring products were you
21
supervising over as a Product Development Manager?
22
A.
Well, the flooring products that were
23
made in the flooring plants were the asphalt
24
asbestos tile and vinyl asbestos tile.
25
Q.
Were you in charge of any adhesive
J.C. Schmitt/Vogelzang
22
1 products? Would that be under the title of flooring
2 products?
3 A.
No. Adhesive products were in another
4 department.
5 Q.
How about the liquid asphalt products?
6 A.
That would be another department, in
7 Research. You're limiting your question now to the
8 period from 1965, correct?
9 Q.
Yes, and --
10
MR. KADISH: '65 to when?
11
MR. VOGELZANG: That's what I was
12
just going to ask.
13
BY MR. VOGELZANG:
14
Q.
How long were you the Product Development
15 Manager starting in 1965?
16 A.
Until 1970.
17
Q.
From 1965 to 1970 as the Product
18
Development Manager you said you were -- you would
19 make design changes if they were requested, is that
20
right?
21
A.
That's right.
22
Q.
Who would requestthe design changes?
23 A.
Well, the requests came either from the
24
Sales Department or the Merchandising Department.
25
Q.
From 1965 to 1970as Product Development
J.C. Schmitt/Vogelzang
23
1 Manager did anyone within The Flintkote Company ever
2 request that you attempt to make a Flintkote product
3 by substituting the asbestos that had previously
4 been used in that asbestos product?
5 A.
Well, actually in -- I think just prior
6 to 1965 the company did make a floor tile that did
7 not have asbestos in it.
8 Q.
Now, had that floor tile before 1965
9 contained asbestos and it was changed so that it
10
didn't have asbestos?
11 A.
No. It was a new product. It was
12
developed without asbestos.
13 Q.
Why was the product developed without
14
asbestos?
15 A.
It was developed for the purpose of
16 making a floor tile, vinyl asbestos floor tile that
17
resembled pure vinyl tile. It had a translucent
18
appearance to it. It was -- it wasn't an opaque
19
solid color tile. It had more of the resinous
20
translucency, and it was done totry to match the
21
competitive pure vinyl tilein themarket.
22
Q.
So it was just for looks?
23 A.
No, it was to develop a brand new
24
product, but, as I say, the primary difference was
25
the appearance, the translucency, the appearance of
J.C. Schmitt/Vogelzang
24
1 it.
2 Q.
Other than the difference in appearance,
3 did the lack of asbestos change the product at all?
4 A.
No.
5 Q.
During your tenure as Product Development
6 Manager from 1965 to 1970, other than this
7 translucent vinyl tile, was there any product that
8 was switched from containing asbestos to not
9 containing asbestos?
10 A.
This would be any flooring product? No.
11
The translucent Vintal product that I referred to
12
was the only one, but that was a new product.
13
Q.
And are you aware of any products by The
14
Flintkote Company from 1965 to 1970 that began being
15
developed without asbestos that had previously had
16
asbestos in it?
17 A.
Are you talking about any product
18
including flooring?
19
Q.
Yes.
20
A.
I know of no product that was switched
21
from an asbestos content to a non-asbestos content.
22
I might mention that in the liquid products, if we
23
talk about them, not all the liquid products
24
contained asbestos. There were asbestos and
25
non-asbestos varieties of all those products.
J.C. Schmitt/Vogelzang
25
1
MR. KADISH: I think Counsel is just
2 referring to products that contained asbestos that
3 might have been switched to non-asbestos for
4 whatever reason. Is that correct?
5
MR. VOGELZANG: Yes.
6 BY MR. VOGELZANG:
7 Q.
In 1970 you acquired a new job title for
8 The Flintkote Company?
9 A.
Yes. When I updated my resume earlier
10
this morning, in 1970 I was named the -- what did I
11
say now -- the Administrative Assistant to the
12 Managing Director of Corporate Research and
13
Development.
14
Q.
15 A.
How long did you hold that position? Until 1974.
16
Q.
Now, your resume here that I marked
17
Exhibit A states that you were Product Development
18 Manager of flooring from 1965 to 1985, is that
19
correct?
20
A.
Well, that's what it says, but that's
21
incorrect. It's -- . That only describes the
22
position held from 1965 to 1970.
23
Q.
Okay.
24
A.
I don'tknow the origin of that
25
particular document thatyou'rereferring
to.
J.C. Schmitt/Vogelzang
26
1
Q.
This was used as an exhibit in a previous
2
deposition taken in November of 2000.
3 A.
I know, I've seen it, but I said I don't
4
know the origin of it. It is copied after a resume
5 which I had developed in 1965, sometime prior to
6
1970, but -- how my document became this, I don't
7
know.
8
Q.
So from 1970 to 1974 you were in charge
9 of Corporate Research and Development for The
10
Flintkote Company, is that correct?
11 A.
I was the Assistant to the Director of
12 Corporate Research and Development.
13 Q.
Was that for the entire Flintkote Company
14
or just a particular plant?
15 A.
That was for the entire Flintkote
16
Company.
17
Q.
What were your specific job duties in
18
1970 to 1974?
19 A.
Primarily to assist the Corporate
20
Director. We had a staff of engineers and chemists
21
and it was located in the corporate headquarters,
22
and we conducted outside research. We merely
23
supervised research done in outside laboratories on
24
various product projects.
25
Q.
Did the outside research that you
J.C. Schmitt/Vogelzang
27
1
conducted from 1970 to 1974 involve asbestos in any
2
way?
3 A.
No, not really. Only one involved
4 asbestos product, floor tile, but the others were
5 connected with steelmaking and cement processes,
6 waterproofing systems and adhesive systems. We had
7 quite a number of projects going.
8
Q.
What type of research was done regarding
9 asbestos in floor tile from 1970 to 1974 that you
10
were involved in?
11
A.
Oh, the project I guess that occurred
12
over about one or two years of that period, an
13
assignment was developed for floor tile that did not
14
contain asbestos.
15
Q.
Who did that assignment come from?
16 A.
It came from our Flooring Division.
17
Q.
What was the purpose of developing floor
18
tile that did not contain asbestos?
19 A.
I don't know the purpose for the
20
assignment. The assignment was to develop a product
21
not containing asbestos.
22
Q.
Did the Director that you were the
23
Assistant to know the purpose of making floor tile
24
that did not contain asbestos?
25
A.
I don't know. It never appeared on the
J.C. Schmitt/Vogelzang
28
1 documents that came to us from the Flooring Division
2
requesting the assignment.
3 Q.
Was it more expensive to make floor tile
4 that did not contain asbestos?
5 A.
I can't answer that because we never
6
completed the assignment.
7
Q.
Why didn't you complete the assignment?
8 A.
The -- . Well, basically the product, the
9 assignment was to make a vinyl asbestos -- or a
10 vinyl floor tile without asbestos equivalent in
11 quality to the vinyl asbestos tile, and to my
12
knowledge they were never able to match the quality
13
or the performance of the vinyl asbestos tile.
14
Q.
And to your knowledge that problem with
15
achieving the quality was not a cost issue or was
16
it?
17 A.
It was not a cost issue, it was a quality
18
issue.
19 Q.
When did you first learn of the dangers
20
of asbestos to a human being?
21
A.
In 1974.
22
Q.
So when a design change was made when you
23
were the Assistant to the Director of Corporate
24
Research and Development or a design request to
25
change something, you never sat in any meeting and
J.C. Schmitt/Vogelzang
29
1 discussed why that change was going to be made, it
2 was just a direct order that came down?
3 A.
I never sat in any meetings. Our
4 responsibility began when a request was made by an
5 operating division to develop a certain product, and
6 that was all done by formal paperwork. What
7 preceded that paperwork I don't know and I don't
8 think I ever knew, but if it was approved by
9 management as a project, we would take it on.
10
Q.
Was that project to remove the asbestos
11
from the floor tile the first project that you had
12
been involved in where The Flintkote Company had
13
tried to take the asbestos out of a product it was
14 manufacturing?
15 A.
Yes.
16
Q.
Were you involved in any other similar
17
projects of removing asbestos from a product with
18
The Flintkote Company after that?
19 A.
No.
20
Q.
Then in 1974 you switched titles again
21
with The FlintkoteCompany?
22 A.
That's correct.
23
Q.
What was your new title?
24
A.
New title was Product and PlantSafety
25
Manager.
J.C. Schmitt/Vogelzang
30
1 Q.
2
A.
How long did you hold that position? I held that until my retirement in 1985.
3 Q.
What were your job duties as Product and
4
Plant Safety Manager?
5
A.
It was twofold. One was to follow the
6
our various manufacturing operations in their
7
health, employee health and employee safety
8 policies. We had a policy manual that described
9
what should be done and how it should be done. And
10
the second responsibility was to oversee the product
11
liability policy and performance of The Flintkote
12
Company.
13
Q.
When you say oversee product liability in
14
Flintkote, what do you mean by that?
15
A.
Well, Flintkote Company had a policy
16
manual that described the risk management and the
17
product safety and the products liability program of
18
the company. It had to do with advertising, sales
19
representation, the procedures for handling
20
complaints and for following up on complaints,
21
warnings and labels, when necessary, on products, to
22
warn of hazards, and to keep abreast of the use of
23
our product by the product users and make certain
24
that none of them were harmed by the products
25
themselves.
J.C. Schmitt/Vogelzang
31
1 Q.
You said in 1974 you became aware of the
2
dangers of asbestos, is that correct?
3 A.
That's correct.
4 Q.
How did you become aware of the dangers
5 of asbestos?
6 A.
Well, in
When I entered into that
7 position I became familiar with all of the work that
8 preceded my entry into that department, and one of
9 them was the OSHA Act of 1970, which identified
10
asbestos as one harmful material.
11
Q.
Who held the position of Product and
12
Plant Safety Manager prior to you?
13 A.
That would have been Mr. Seymour Weiss.
14
Q.
Did you meet with Mr. Weiss about what
15
had beengoing on as Product and Plant Safety
16 Manager, is that how you learned about asbestos?
17
A.
Yes, that's right. Met with him and he
18
turned over the file of that department to me. It
19
was my job to review it andfind out what had been
20
done and what was being done, what wasimportant.
21
Q.
That file that you just spoke of, how far
22
back did that file go?
23
A.
Well, I guess
I don't know. It went
24
way back, almost to -- at least the part of the file
25
that I was aware of was back into the late '60's,
J.C. Schmitt/Vogelzang
32
1 but that job and that department had existed as far
2 as I know in 1947.
3 Q.
Did you read through that entire file as
4 Product and Plant Safety Manager when you entered
5 the job?
6 A.
Well, I didn't read through the entire
7 file. It was several file cabinets, but I read what
3 was important and what was pointed out to me as
9 important and what I needed to learn quickly so that
10
I could function.
11 Q.
Is it fair to say that you were in charge
12
of maintaining that file that held the information
13
of the Product and Plant Safety Manager?
14 A.
Well, yes. I was in the office where
15
that file was held and I had responsibility for
16
keeping that file, yes.
17
Q.
Did you ever check the file to see
18
how -- . Strike that.
19
Did you ever check the file that was
20
in your office to see when The Flintkote Company
21
first addressed the harms of asbestos?
22
A.
That's a broad question. Part of that
23
file was the mandatory controls that the company had
24
to put in effect in 1970 following the Department of
25
Labor OSHA Act.
J.C. Schmitt/Vogelzang
33
1 Q.
Well, I'm not talking about OSHA. I'm
2
talking about what Flintkote -- how Flintkote
3 addressed harms of asbestos or anything that had to
4 do with possible harmful effects of asbestos in the
5
file that was maintained in your office?
6 A.
Well, as I say, the file in the office
7
spelled out what was being done by law beginning in
8
1970. Now, I think that I mentioned earlier the
9 plants had dust collection and dust control systems
10
that preceded 1970, that preceded actually 1947.
11
MR. KADISH: I hate to interrupt, but
12
can we take a break?
13
MR. VOGELZANG: Yes. Let's take a
14
five minute break.
15
(Proceedings recessed from 11:25 a.m.
16
to 11:32 a.m.)
17
BY MR. VOGELZANG:
18
Q.
Over the break, Mr. Schmitt, did you
19
discuss any part of this deposition?
20
A.
Not really, no.
21
Q.
When you say not really, what do you
22
mean?
23
A.
Well, just a question about how long it
24
would take, but no substantive discussion.
25
Q.
We were talking about what was in the
J.C. Schmitt/Vogelzang
34
1
file in your office when you were Product and Plant
2 Safety Manager from 1974 to 1985 and you had
3 mentioned that there was stuff in there about the
4 OSHA standards, right?
5 A.
Yes.
6 Q.
Now, other than the OSHA standards, was
7 there any documents in that file that talked about
8 the harms of asbestos to Flintkote workers?
9 A.
No.
10
Q.
Now, to your knowledge that file had been
11 maintained for many, many years prior to you coming
12
into that position, is that correct?
13
A.
That's correct.
14
Q.
And there would be no reason for that
15
file to be destroyed ever, would there?
16 A.
Not that I know of, no.
17
Q.
Is it fair to say that that file
18
documented all safety concerns within The Flintkote
19
Company nationwide?
20
A.
Yes, that's what itcontained, yes.
21
Q.
When the OSHA standards cameout, that
22
was the first time that Flintkote Company became
23
aware in any way of the harms of asbestos to the
24
workers?
25
A.
I can't speak for The Flintkote Company.
J.C. Schmitt/Vogelzang
35
1
I don't know what The Flintkote Company knew prior
2 to or in 1970.
3 Q.
Well, you would know because it was in
4 the file, right?
5 A.
Well, the particular file I'm referring
6 to was the file concerning the compliance with the
7 OSHA standard, which had to do with, among other
8 things, of course it covered more than just
9 asbestos, but the mandatory steps that had to be
10
taken by The Flintkote Company and by employees with
11
respect to asbestos fiber.
12
Q.
But that file that I'm referring to that
13
was in your office had to do with all safety issues
14
within The Flintkote Company, right?
15
A.
Yes, that's true.
16
Q.
Did The Flintkote Company ever perform
17
any of their own studies regarding the harms of
18
asbestos to human beings at any time?
19 A.
Well, what particular studies are you
20
including?
21
Q.
Any studies ever done by The Flintkote
22
Company regarding the harms of asbestos to people.
23
A.
No, I know of none.
24
Q.
Is there any that you were thinking of
25
there that I didn't include in my question?
J.C. Schmitt/Vogelzang
36
1 A.
Well, we, again, because of the OSHA Act
2 we were required to conduct tests in the plants in
3 the employee breathing zone and in the area where
4 asbestos fiber was used, to monitor the fibers in
5 the air to make sure that they were belowthe
6 standards, but those are tests and studies I would
7 include.
8 Q.
While you were working at The Flintkote
9 Company from 1947 all the way through 1975, what
10 professional organizations did you belong to?
11 A.
Well, bear in mind now we're only talking
12
about possibly a certain --
13
MR. KADISH: You're talking about
14 Mr. Schmitt personally?
15
MR. VOGELZANG: Right.
16
THE WITNESS: One organization was
17 the Gypsum Association. Now, that only would have
18 been in the period after 1974.
19
Another one was the Asphalt Roofing
20
Industry Bureau. Again, that was in the period
21
after 1974. And bear in mind the company was the
22 member and I was merely a representative of the
23
company during certain periods of time.
24
Another one was the Asphalt and Vinyl
25 Asbestos Tile Institute for a period of time between
J.C. Schmitt/Vogelzang
37
1
1962 and '65, maybe for a year or two I was a member
2
or a representative, and then another period after
3
1965 up until 1970.
4
And another organization was the
5 ASTM. I was a representative for the company to
6 that organization for a few periods of time, off and
7 on, beginning in 1962. Bear in mind it wasn't for
8 that entire period until 1985.
9
The National Safety Council, I was
10
the company representative under our membership to
11
the NSC. That was after 1974.
12
I
can't recall any others offhand.
13
There may have been one or two others.
14
BY MR. VOGELZANG:
15
Q.
For the Asphalt and Vinyl Asbestos
16
Institute that you joined or you were the
17
representative for starting in 1962, would you
18
attend the meetings of that Institute?
19 A.
I attended the meetings of the Technical
20
Committee. I was the representative on the
21
Technical Committee. I wasn't a member of the
22
Institute itself, the Board.
23
Q.
At any time between 1962 and 1974 while
24
you were on the Technical Committee of the Asphalt
25
and Vinyl Asbestos Institute, were the harms of
J.C. Schmitt/Vogelzang
38
1
asbestos to humans ever discussed in any meeting?
2 A.
No. Now, I wasn't a member for that
3 entire period. I said there were periods of time
4 during there where I was a representative, but not
5
for the full period.
6 Q.
Do you say that because you think
7 asbestos was discussed in between there when you may
8 not have been there?
9 A.
No. At least when I was there it was
10
never discussed and it never appeared in any of the
11 minutes that I was able to read, so -- .
12
Q.
13 A.
What does ASTM stand for? American Society for Testing of Materials
14
was the original name of it. It's ASTM now.
15
Q.
And did that involve testing materials
16
for quality only or also for safety?
17 A.
Primarily for quality.
18
Q.
Was safety of the worker a concern of
19 ASTM?
20
A.
No.
21
Q.
22
Was asbestos -- . Strike that. Were the harms of asbestos ever
23
discussed at any time that you were involved with
24
ASTM between 1962 and 1974?
25
A.
No.
J.C. Schmitt/Vogelzang
39
1 Q.
So in 1974 when you were promoted to
2 Product and Plant Safety Manager, the harms of
3 asbestos was a complete surprise to you, is that
4 fair to say?
5 A.
No. I don't think I ever concerned
6 myself about harms of materials or which materials
7 were harmful, but I became aware of that knowledge
8 in 1974. I mean I knew prior to that just from my
9 college education there were a lot of harmful
10 materials out there in the world. I think that's a
11
very general statement, but I was aware of harmful
12 materials, yes, but not in detail.
13 Q.
So when you were at Columbia University
14
did you ever sit in any kind of class that talked
15
about the harms of asbestos?
16 A.
No.
17
Q.
How about at the Polytechnic Institute in
18
Brooklyn?
19 A.
No.
20
Q.
How about at Cooper Union Institute of
21
Technology?
22
A.
No.
23
Q.
So
Well, my question to you was was
24
the harms of asbestos a surprise to you in 1974 and
25
you essentially said no, is that correct?
J.C. Schmitt/Vogelzang
40
1 A.
Well, I don't think anything is a
2 surprise to me. I mean I can realize from my
3 engineering training that some materials can be
4 harmful.
5 Q.
Had you realized prior to 1974 that
6 asbestos could be harmful to human beings?
7 A.
Not really. I hadn't realized that at
8 all.
9 Q.
Hadn't some OSHA standards come out in
10
1970?
11 A.
Pardon me?
12
Q.
Hadn't some type of OSHA standards
13
regarding asbestos come out in 1970?
14
A.
Well, the OSHA Act was enacted in 1970,
15
which covered quite a number of subjects of health
16
and safety, including asbestos.
17
Q.
So would it be fair to say that you had
18
some knowledge of the harms of asbestos starting in
19
1970?
20 A.
I didn't have that knowledge because I
21
wasn't concerned with the OSHA Act in 1970.
22
Q.
So when you were given the assignment as
23 Assistant to the Director of Corporate Research and
24
Development to try to develop floor tile without
25
asbestos, to your knowledge that had nothing to do
J.C. Schmitt/Vogelzang
41
1 with the OSHA Act that came out in 1970 regarding
2
asbestos?
3 A.
I said I had no knowledge of why that
4 assignment was given. I didn't connect it with
5
anything.
6 Q.
Well, when was the first time you learned
7 of the OSHA Act of 1970?
8 A.
In 1974.
9 Q.
Now, from 1974 to 1985 as Product and
10
Plant Safety Manager you said you handled
11
complaints, right?
12 A.
No, I didn'thandlecomplaints.
13
Complaints were handled at the local level where
14
they originated. I merely was advised of the number
15
of complaints, what complaints they were, the nature
16
of the complaints, and what was being done to
17
satisfy them.
18
Q.
Were any of those complaints that you
19
dealt with on any levelhaving to dowith the harms
20
of asbestos?
21
A.
No.
22
Q.
Now, you alsosaid you dealt with warning
23
labels as the Product and PlantSafetyManager?
24
A.
Yes.
25
Q.
And that was from 1974 to 1985, right?
J.C. Schmitt/Vogelzang
42
1 A.
Right.
2 Q.
Did you ever deal with any warning labels
3 regarding asbestos?
4 A.
Yes.
5 Q.
And what was thefirstinstance where you
6 dealt with a warning label regarding asbestos?
7 A.
One instance I can recall was a private
8 label account we had with one of our competitors,
9 and they had asked that the label contain some
10
information about the content of asbestos fiber, but
11
it was on a liquid product and the wording was
12
not -- wasn't appropriate, because they were looking
13
at asbestos fiber as a raw material, whereas the
14
asbestos fiber in the product was encapsulated,
15
contained, and it wasn't available for free
16
respiration, so I was instrumental in eliminating
17
that labeling, that wording.
18
Q.
Do you know what liquid product that was?
19 A.
I can't recall what it was anymore, no.
20
Q.
Do you know what the label said?
21
A.
I can't recall that either.
22
Another instance was our West Coast
23
Division, Los Angeles had put a warning label or a
24
statement on the product label referring to the
25
content of asbestos fiber in three of the liquid
J.C. Schmitt/Vogelzang
43
1 products, and the reason why they did that was
2
supposedly to comply with a California State
3 regulation on environmental release of asbestos
4
fiber, but careful reading of the regulations said
5 that any products in which the fiber was
6 encapsulated and bound into the product, they were
7
exempt from the regulation and from any labeling
8 requirements, so as a result we took the wording off
9 of that label, too.
10 Q.
Did Flintkote ever sell raw asbestos to
11
any other manufacturers?
12 A.
No.
13
Q.
From 1974 to 1985 didFlintkote market
14
any of its own raw asbestosfibers with any type of
15
warning for the workers within The Flintkote
16
Company?
17 A.
Well, Flintkote, we didn't have --
18
generate raw asbestos fiber. We bought from outside
19
suppliers.
20
Q.
Flintkote did not have its own mines?
21 A.
No.
22
Q.
Are you familiar with the different types
23
of asbestos fibers?
24
A.
I'mfamiliar with some of them, not all
25
of them.
J.C. Schmitt/Vogelzang
44
1 Q-
Okay. Which fibers are you familiar
2 with?
3 A.
Mainly the chrysotile fiber, which was
4 the fiber that we used most of the time, and the
5 other fiber that I'm familiar with that we used on
6 occasion was crocidolite.
7 Q.
And did either type of asbestos fiber
8 have a distinguishing feature tothem?
9 A.
I don't know what you mean by a
10
distinguishing feature.
11
Q.
Light blue, a blue color?
12
A.
Well, the crocidolite was referred to as
13
blue fiber, but it was not a very blue color.
14
Q.
In 1985 you retired from The Flintkote
15
Company, right?
16 A.
Yes.
17
Q.
Did you ever do any consulting after
18
that, other than depositions like this, for The
19
Flintkote Company?
20 A.
No.
21
Q.
I'm showing what I've marked as Exhibit
22
B, and this is a list of Flintkote products that was
23
produced to us by Flintkote in this case. If you
24
could go through that list and just check and see if
25
anything is missing or anything is incorrect?
J.C. Schmitt/Vogelzang
45
1
MR. KADISH: I'm not sure if
2 Mr. Schmitt would understand what you mean by
3
anything missing. I can understand the correct
4 portion of that question, but is this something
5 that he supposedly has seen before?
6
MR. VOGELZANG: I don't know. This
7
is the first timeI'vedeposed him.
8
MR. KADISH: It has got an exhibit
9 sticker on, so you might know whether it was taken
10
from a previous deposition of his or not.
11
MR. VOGELZANG: I don't know.
12
THE WITNESS: Well, this appears to
13
be a copy of an exhibit I have seen on at least one
14
or two occasions before in earlier depositions.
15
What appears on here seems to be correct. As
16
counsel pointed out, I can't recognize something
17
that might not have existed on this list or might
18
have existed and doesn't appear here now. I don't
19
know what's missing, but it is something that I have
20
seen before, yes.
21
BY MR. VOGELZANG:
22
Q.
My question was just to make sure there
23
wasn't any major product that was completely missing
24
from the list. I understand it's a very complex
25
list.
J.C. Schmitt/Vogelzang
46
1 A.
It's a pretty complex list and it seems
2 to be a complete list of, as I said, similar to the
3 exhibit I've seen before.
4 Q.
You've mentioned previously in this
5 deposition about liquid asphalt products. Can you
6 tell me generally what products those would be?
7 A.
Well, in all cases they're products that
8 are madewith an asphalt base. They are fluid to a
9 degree, ranging from probably the consistency of
10 pancake syrup all the way up to heavy putty
11
consistency. They're all black. Some contained
12
asbestos fiber. They were used asadhesives,
13
coatings, waterproofing agents, mastic sealers,
14
joint sealers. They would be applied by either a
15
heavy spray or a brush or trowel.
16 Q.
Did Flintkote make any adhesive product
17
that was not black?
18 A.
Yes, they made two types of adhesive
19 products that were not black. They had a rubber --
20
it was a rubber operation out in Whippany, New
21
Jersey that made rubber adhesives, tire coating
22
adhesives, and adhesives for ceiling tiles. There
23
was another operation I mentioned earlier in
24
Manyunk, Pennsylvania. They made a series of
25
adhesives that were resin based, light colored
J.C. Schmitt/Vogelzang
48
1 mastic held in?
2 A.
May have been as small as one gallon, but
3 most often were in five gallon pails.
4 Q.
Exhibit B shows the trowel mastic
5 contained between 22 and 25 percent asbestos. Do
6 you have any reason to disagree with that?
7 A.
I cannot disagree with it, no.
8 Q.
Do you know where the trowel mastic was
9 distributed within the United States?
10
A.
Well, I believe it was made in all of the
11
plants, so it would be distributed pretty much over
12
the entire United States.
13
Q.
Is there any other mastic product that
14
Flintkote made that was applied with a trowel?
15
A.
Oh, yes. Plastic cement was applied with
16
a trowel. Another trowelable type, but it was
17
applied with a gun-type tube thing, that would have
18
been the joint cement. There were other trowelable
19 mastics. I can't recall offhand all of them.
20
Q.
Could the trowel mastic be used on a ship
21
for insulation of pipes or weatherproofing of pipes?
22
A.
No.
23
Q.
And why couldn't it be used for that?
24
A.
Well, when you talk about ships and
25
piping and so forth you're talking about usually hot
J.C. Schmitt/Vogelzang
49
1 pipes, and being asphalt based it would soften and
2 run off at temperatures about 100 to 120 degrees, so
3
it couldn't be used for that purpose. It wouldn't
4 be used because it's not an insulating material, and
5 being flammable I don't know that it would be used
6 on board ship because of its flammability.
7 Q.
Do you know that the trowel mastic was
8 not used on ships?
9 A.
I don't know that.
10
Q.
Now, could the trowel mastic be applied
11
over pipe insulation toweatherproof that
12
insulation?
13 A.
Well, the purpose of trowel mastic is a
14
weatherproof and waterproofing agent on outdoor
15
roofs around parapets, around pipes and roof edges,
16
and so forth. That's the purpose of it. I don't
17
know whether it could be used on pipes because as I
18
said it being an asphalt product, it softens very
19
easily and would just run off. I don't know that it
20
would be used, and they're not weatherproofing
21
anything aboard ship because it's not exposed to the
22
weather, it's all interior shippiping.
23
Q.
Well, there's outdoor piping as well, and
24
if the pipes did not contain a hot substance you
25
could very well use the trowel mastic on that pipe,
J.C. Schmitt/Vogelzang
50
1 isn't that correct?
2 A.
I don't know that.
3 Q.
Have you ever heard of the Newport
4 Shipyard in Virginia?
5 A.
Yes, I have heard of that.
6 Q.
Do you have any knowledge as to whether
7 Flintkote supplied any products to the Newport
8 Shipyard during your term with The Flintkote
9 Company?
10 A.
I don't know that.
11 Q.
Do you know who would know that
12
information?
13 A.
Most likely somebody in the Sales
14
Department who was in the Virginia area.
15 Q.
So as to matters of distribution locally,
16
Flintkote maintained separate offices that were in
17
charge of that?
18 A.
Well, the organization of the Sales
19
Department started out with a Vice-president of
20
Sales in the corporate headquarters, and then there
21
were Regional Sales Managers and then reporting to
22
Regional Sales Managers were District salesmen and
23
District Sales Managers, so there was a general
24
hierarchy of salesmen going down to the salesmen in
25
the field.
J.C. Schmitt/Vogelzang
51
1 Q.
Did the Sales Department in Flintkote's
2 headquarters keep records of every end user of a
3
Flintkote product?
4 A.
I don't know that.
5 Q.
So is it fair to say that you can't
6 testify as to the distribution of Flintkote products
7 except in a very general manner?
8 A.
I don't know anything about the
9 distribution of the products, other than generally
10
that they went to certain areas surrounding the
11
plants, but beyond that I don't know of any
12
distribution.
13
Q.
And so you can't say either way if
14
Newport Shipyard as supplied with Flintkote
15
products, right?
16 A.
I can't say that at all.
17
Q.
Was there a particular Flintkote product
18
that was used on ships to your knowledge?
19 A.
Again, I don't know about products used
20
on ships. I know of one product that was formulated
21
for particularly Navy ships. I don't know about
22 maritime ships.
23
Q.
What product was formulated for Navy
24
ships?
25
A.
That was the Flintdek.
J.C. Schmitt/Vogelzang
52
1 Q. 2 A.
How do you spell that? F-l-i-n-t-d-e-k. It's one word.. I don 't
3
know if that appears on here (indicating) or not.
4
Flintdek, it appears on here It appears on Exhibit
5 B.
6 Q.
And on Exhibit B, Flintdek, it states is
7 that Flintdek contains 6 percent asbestos. Do you
8 have any reason to disagree with that?
9 A.
I can't disagree with that.
10
Q.
11
A.
How was Flintdek used? Well, --
12
MR. KADISH: I object to the form of
13
that. You mean how was it designed to be used?
14
BY MR. VOGELZANG:
15
Q.
Sure. How was it designed to be used?
16 A.
Well, Flintdek was designed as a compound
17
to be coated on surfaces. It had a sand filler in
18
it, that when the Flintdek dried on the surface,
19
particularly metal surfaces, the sand would give it
20
a non-skid type of coated surface, and I mention
21
that because one of the
Flintdek came in
22
various colors. As I recall there was a gray and a
23
green and a red, and maybe in two other colors, but
24
one version of it was formulated to match the Navy
25
slate gray. It was formulated as a Navy slate gray
J.C. Schmitt/Vogelzang
53
1 variety of Flintdek for use by the Navy if they ever
2 boughtit, but I don't know -- as I say, I don't
3
know whether they ever purchased any of it or not.
4 Q.
Was Flintdek sold to companies or places
5 other than the Navy?
6 A.
Yes, it was.
7 Q.
Are you familiar with any products that
8
Flintkote made for coating underneath rail cars of
9 trains?
10 A.
Yes.
11
Q.
What products would those be?
12 A.
Those are some of the railroad coatings.
13
There are a few of them I think in that Exhibit B.
14
There were two varieties. Some contained asbestos,
15
some did not, but they were usually applied by spray
16
coating.
17
Q.
Now, the first page of Exhibit B shows
18
several railroad car cements. Are those some of the
19 products that you're talking about?
20 A.
Yes, right.
21
Q.
And the range of asbestos content goes
22
from 13 percent up to 29 percent. Do you have any
23
reason to disagree with those percentages?
24
A.
I can't disagree with that.
25
Q.
Is there any mastic product that
J.C. Schmitt/Vogelzang
54
1 Flintkote produced that was generally applied with
2 hands, the worker would actually apply the mastic
3 with their hands?
4 A.
No.
5 Q.
Is there any product at all that -- any
6 Flintkote product that you can think of that was
7 applied with hands?
8 A.
Not that I can recall, no.
9 Q.
How would you describe the railroad car
10
cements, the consistency and the look of it?
11 A.
Most of them were relativelythin. I
12
think the terminology used within the company was
13
heavy paint consistency. That would be much heavier
14
than any house paint that one would come across. It
15
would be a very thick material, it would be
16
approaching honey and molasses in consistency.
17
Q.
Did it have a general color to it?
18
A.
They were all black.
19
Q.
Were there any products that were made
20
according to military guidelines, other than
21
Flintdek, that had to pass or had to qualify for a
22 products list that was used by the military,
23
anything like that?
24
MR. KADISH: I'll object just to the
25
extent that you're referring to the Flintdek as
J.C. Schmitt/Vogelzang
55
1 being designed according to military guidelines. I
2
think Mr. Schmitt's testimony was that the company
3 designed it with the hope that the Navy would
4 purchase it, but I don't think he ever testified one
5 way or another as to whether or not it was designed
6 in accordance with any Naval or military guidelines.
7 Maybe you want to ask that first or reformulate the
8
question.
9 BY MR. VOGELZANG:
10
Q.
Mr. Schmitt, were there any products that
11
Flintkote made that had to comply with military
12
guidelines?
13
A.
One that I can recall was an export box
14
sealer. In fact, that was made at the East
15
Rutherford Plant while I was there, and that was
16
formulated to meet the requirements of a military
17
spec, I think it was an Army spec, on box sealer for
18
export shipping, and we had to test it to meet those
19
requirements and then we had to obtain approval -- I
20
don't recall the terminology -- but it was some sort
21
of certified approved list or something like that,
22
that we had to submit samples to some testing agency
23
and they had to approve it before we could sell it
24
to the military. That's the only one I can recall.
25
I don't recall -- . I know there are approved lists
J.C. Schmitt/Vogelzang
56
1 and military testing and stuff, but I don't know of
2
any other products that were formulated to that.
3 Q.
What did you call that material?
4 A.
Export box sealer. That was the name of
5
it.
6 Q.
Did the export box sealer contain
7
asbestos?
8 A.
I don't believe that it did.
9 Q.
Do you know when approximately it was
10
made?
11
A.
I can't recall all the dates, but at
12
least it was being made during the period of time
13
1950 to '51 when I was the Plant Chemist in the East
14
Rutherford Plant.
15
Q.
Were there any other Flintkote products
16
that had to meet any guidelines say for the Coast
17
Guard or for passenger ships, anything like that?
18
A.
Not that Iknow of.
19
Q.
Was there any particular Flintkote
20
product that was -- . Strike that.
21
Was there any Flintkote mastic
22
product that was generally applied with a brush?
23
A.
No.
24
Q.
Was there any Flintkote product that you
25
know of that was applied with a brush?
J.C. Schmitt/Vogelzang
57
1 A.
Yes.
2 Q.
What products or product would that be?
3 A.
Well, some of the external coatings for
4 weatherproofing or waterproofing coatings were
5 applied by brush.
6
Some of the roof cements and roof
7 coatings on built-up roofs, they were applied by
8 brush.
9
The Flintdek that I mentioned before,
10
that non-skid coating, that was used on walking
11
surfaces and metal surfaces and industrial floors,
12
that could have been applied by brush.
13
Some of the floor tile adhesives were
14
thin enough. In fact, one adhesive which did not
15
contain asbestos was called on brush-on adhesive.
16
That was a thin floor tile adhesive coating applied
17
by brush.
18
There were quite a number of products
19
that could have been applied by brush. Asphalt roof
20
primer could be applied by spray or brush.
21
Q.
Can you give a general description of the
22
Flintkote product, the consistency of it, that would
23
be applied by brush?
24
A.
Something again in the category of
25
perhaps thin molasses or pancake syrup. And I might
J.C. Schmitt/Vogelzang
58
1 add when we talk about a brush in this case, we're
2 not talking about a sable fiber paint brush. We're
3 talking about heavy bristle brushes, something like
4 you see the street sweepers using or the people
5
coating driveways, they're using a very stiff
6 bristle brush. That's the type of brush that was
7 used.
8 Q.
Were all the products that were applied
9 with the brush black in color?
10 A.
Well, most of the products on -- or all
11
of the products on this Exhibit B list were all
12
black in color, and the brush-on tile adhesive was a
13
light color, that was a resin based. That did not
14
contain any asbestos. Some of Atlas resin adhesives
15
that were used as adhesives for wallboard or ceiling
16
tile, they could have been applied by brush, some of
17
them were; some of them were applied by putty knife.
18
They were light colored.
19
Q.
And I may have asked you this, but did
20
any of the light colored adhesives contain asbestos?
21
A.
No, they did not.
22
Q.
How was the export box sealer packaged?
23
A.
I think it was mostly in five gallon
24
pails.
25
Q.
Now, I know you've said how the products
J.C. Schmitt/Vogelzang
61
1 distribution of any of the particular products on
2
this list?
3 A.
No, I'm not.
4 Q.
Are you familiar with a product called
5
Unimastic 150 or FR-100?
6 A.
I recall the name, but I'm not that
7
familiar with it.
8 Q.
All right. I'm getting this off of
9 Exhibit B from Flintkote and the description is
10
pigment resin coating for insulation, fire
11
retardant. Does that refresh your memory at all?
12 A.
Yes, it does. That's what the FR stands
13
for, fire retardant.
14
Q.
And do you know in what context this
15
Unimastic 150 would be used in?
16 A.
Well, the insulation coatings were a
17
family of products that were made to apply over
18 mainly exterior insulated pipes and tanks. Seme of
19
them were designed for cold tanks and ice storage
20
places and cold storage and cold pipes. They were
21
primarily coatings that could be applied by brush,
22
sometimes by spray, to the outside ofthe insulation
23
on the pipes or the tanks or the otherstructures,
24
to weatherproof them and waterproof them so that the
25
insulation wouldn't soak up water.
J.C. Schmitt/Vogelzang
62
1 Q.
Can you say one way or another if this
2
product would be used on a ship?
3 A.
Well, I can't say whether it could be
4 used. Again, I can't imagine it being used because
5 of its asphalt content and flammability.
6 Q.
But you have no knowledge of whether
7 Unimastic 150 was used on ships, do you?
8 A.
I don't know that.
9 Q.
And the description says pigment resin
10
coating, so would this mean it's a lighter coating?
11 A.
Yes, pigments would have lightened the
12
asphalt up somewhat.
13
Q.
How would you describe the color? Would
14
it be a tan or a white?
15 A.
I don't know. I can't recall that any
16
longer.
17
Q.
But you could say that Unimastic 150 was
18
not black, is that a fair statement?
19 A.
No, it was pigmented, so that it had some
20
color to it.
21 Q.
So you're agreeing with me in that it was
22
not black?
23 A.
Yes.
24
Q.
And Unimastic 150 is listed as 7.5
25
percent asbestos, and you have no reason to disagree
J.C. Schmitt/Vogelzang
63
1 with me on that, do you?
2
A.
I can't disagree with that.
3 Q.
Looking at Exhibit B there's a product
4 called number 227 Underbody Coating, and the
5 description is military spec underbody coating
6
asphalt cutback.
7
Are you familiar with that product at
8 all?
9 A.
10
name.
Not specifically, but I recognize the
11
Q.
What would military spec mean?
12 A.
It would mean formulated to meet some
13 military specification.
14
Q.
Can you describe what that product would
15
look like?
16 A.
Well, it was one of the underbody
17
coatings. In this particular case they mention a
18
cutback. They were emulsion types, too. They were
19 black, they were shiny, they were applied with a
20
heavy spray gun, which was more like a nozzle, spray
21
nozzle about a quarter-inch, and they were applied
22
under cars. Now they don't do it any longer, but
23
they were applied under car bodies and truck bodies
24
to -- as a corrosion resistant coating and to
25
prevent dents and stone bruises and so forth.
J.C. Schmitt/Vogelzang
64
1 Q.
I forgot to ask earlier, the FR100
2 Unimastic, do you know what kind of container that
3 would be shipped out in?
4 A.
I don't recall specifically what type,
5 but it would have been fifty-five gallon drums or
6
five gallon pails.
7 Q.
But it would either be in five gallon
8 pails or fifty-five gallon drums?
9 A.
Yes.
10
Q.
How about the number 227 Underbody
11
Coating, how would that be shipped out?
12
A.
Again, it depends on the end use. Most
13
often if it went to a body shop or a Fisher Body
14
plant, it would be shipped in fifty-five gallon
15
drums, because the pumping, spraying equipment they
16 would use would be equipped with a drum follower,
17
which went right directly into the drum.
18
Q.
Looking at Exhibit B,there's a product
19
listed Hydrostatic Mastic, the synonymous name is
20
710-21, and the description is semi-mastic vapor
21
barrier coating.
22
23
product?
Do you know anything about that
24
A.
Not specifically, no.
25
Q.
Do you know what that product would look
J.C. Schmitt/Vogelzang
65
1 like?
2 A.
Well, it was a coating. It would be
3 probably a brush or spray consistency. It would be
4 black. It would be shiny black, and used mainly as
5 a weatherproof coating, waterproofing and
6 weatherproofing.
7 Q.
What kind of container would it be
8 shipped out in?
9 A.
It would either be five gallon pails or
10
fifty-five gallon drums.
11 Q.
I've just got one more on this list.
12
It's called Rain Patch all-weather mastic?
13 A.
Yes.
14
Q.
And the description is plastic cement
15
treated to bond to wet surfaces.
16
Are you familiar with that Flintkote
17 product?
18 A.
Yes.
19 Q.
And could yougive me a physical
20
description of that product?
21 A.
It was very heavy consistency, somewhat
22
like a very heavy peanut butter, and it would be
23
applied by trowel. It would be black, it would
24
smell of paint thinner.
25
Q.
In whatcontext would Rain Patch be used?
J.C. Schmitt/Vogelzang
66
1 A.
Primarily for outside roof surfaces
2 around openings in the built-up roofing or around
3 the shingle roof surface, but it had a bonding agent
4 in that permitted it to be used on damp surfaces so
5 that it would stick to it, whereas ordinarily the
6 plastic cement would not stick to a damp surface.
7 Q.
You said this was used primarily for
8 roofing, but it could have other uses, is that fair
9 to say?
10 A.
Well, that was its intended use.
11
Q.
When you started with Flintkote in 1947
12
what was the company name? Was it The Flintkote
13
Company?
14
A.
Flintkote Company.
15 Q.
Did any changes occur as far as acquiring
16
or merging with any companies or name changes while
17
you worked there?
18 A.
Well, yes. Towards the tail end there
19 was a change.
20
Q.
What was the change?
21 A.
I think it was in 1980 the Genstar
22
Corporation acquired The Flintkote Company.
23
Q.
Are you aware of anyother corporate
24
changes while you worked at Flintkote?
25 A.
No.
J.C. Schmitt/Vogelzang
67
1
MR. RADISH: You mean corporate name
2
changes or acquisitions, mergers?
3
MR. VOGELZANG: Any changes at all.
4
THE WITNESS: Well, what do you mean
5 by that?
6 BY MR. VOGELZANG:
7 Q.
Well, I mean you tell me. If you know of
8 a corporate change as far as the status of
9 incorporation or a name change or --
10
A.
Well, would you include acquiring --
11
Flintkote Company acquiring other companies?
12
Q.
Yes.
13 A.
Well, there were quite a number of them,
14
but they all became Flintkote Company.
15
Well, for an example, in 1945
16
Flintkote acquired Tiletex Company. That was prior
17
to my employment there. But they then sold
18
Flintkote tile, so there was no corporate change
19
there, but the corporation got a little bigger.
20 Q.
So in 1945 is when Flintkote began
21
selling vinyl tile?
22
A.
Yes.
23
Q.
Were there any other acquisitions that
24
added new products to Flintkote's line of products
25
while you worked at Flintkote?
J.C. Schmitt/Vogelzang
68
1 A.
Oh, yes, quite a number of them.
2 Q. 3 today?
Any major ones that are worth mentioning
4 A.
Well, we acquired a couple of cement
5 companies, Portland Cement Companies. We acquired a
6 stone quarry and ready mix concrete operation in
7 Maryland. The U.S. Lime Corporation out in
8 California and Nevada and Arizona. For awhile we
9 had -- we had a box -- cardboard corrugated carton
10 manufacturer. These were all acquisitions that
11 became Flintkote operations.
12
Q.
Any other ones that you can think of?
13 A.
There were other ones. I can't think of
14
them all.
15
Q.
Earlier you mentioned that you're
16
familiar with chrysotile and crocidolite asbestos
17
fibers? Which type of fiber would have been in the
18
Colorcoat mastic.
19 A.
Chrysotile.
20 Q.
And how do you know that chrysotile only
21
was used in that Colorcoat?
22
A.
It goes back to the period of time when I
23
was in the department handling specifications and I
24
knew what raw materials were used and where they
25
were obtained from.
J.C. Schmitt/Vogelzang
69
1 Q.
What year were you in charge of that or
2 had knowledge of that?
3 A.
Well, that started in '47 and went up
4 until 1962.
5 Q.
Was there any reason that chrysotile was
6 used rather than crocidolite in the Colorcoat
7 product?
8 A.
I don't know that.
9 Q.
How about for the A-66 product?
10 A.
Chrysotile.
11
Q.
All the products that we talked about,
12
would that all be chrysotile?
13 A.
Yes.
14
Q.
And are you aware of any reason why one
15
asbestos fiber was used over another in any of the
16
products that we've talked about?
17 A.
I have no knowledge of that.
18
Q.
Do you know where you acquired the
19
asbestos fibers?
20
A.
From a number of suppliers.There was
21
Thetford Mines Corporation, Canada. There was Bell
22 Mines, Johns Manville, and perhaps two or three
23
other asbestos suppliers. I can't recall all the
24
names now.
25
Q.
Do you know the owner of the Thetford
J.C. Schmitt/Vogelzang
70
1 Mines while you were working at the Flintkote
2 Company?
3 A.
No.
4 Q.
The asbestos fiber that you received from
5 the Bell Mines, was that packaged in Johns Manville
6 material?
7 A.
Packaged in Johns Manville material?
8 Q.
He will, you said Bell Mines from Johns
9 Manville.
10
A.
Well, Bell Mines was one supplier and
11
Johns Manville was another one, and I think Ruberoid
12
was another supplier for a period of time.
13
Q.
Did the fiber that you received from
14
Johns Manville come in bags?
15 A.
For a period of time it came in bags, and
16
then it was shipped in paper and then also in
17
plastic bale covers.
18
Q.
When did it switch to plastic bale
19
covers?
20
A.
I don't recall when that change was made.
21
Q.
22
'70's?
Do you know if that was in the '60's or
23
A.
I won't speculate. I don't know.
24
Q.
During the time that you worked at
25
Flintkote do you ever recall any Johns Manville
J.C. Schmitt/Vogelzang
71
1
fiber packaging having any type of warnings on it?
2 A.
I don't recall that, no.
3 Q.
So are you saying you don't remember if
4 there was a warning or there was not a warning?
5 A.
I don't know for that whole period of
6 time whether there was a warning or not. I didn't
7 recall seeing any.
8 Q.
Was there any particular product that
9 Flintkote used crocidolite in?
10 A.
Yes, only one.
11
Q.
What product was that?
12
A.
That was asbestos cement pipe.
13
Q.
Do you know why the crocidolite was used
14
in the cement pipe only?
15
A.
No, I do not.
16
Q.
Did Flintkote sell products for
17
manufacturers, because I know Flintkote manufactured
18
a lot of products, but did it just sell some
19
products?
20
A.
I don't understand your question.
21
Q.
Were there any products that Flintkote
22
would receive from another manufacturer and package
23
for that manufacturer and ship out?
24
A.
Are you talking -- are you speaking about
25
private label?
J.C. Schmitt/Vogelzang
72
1 Q.
Yes.
2 A.
Well, Flintkote did buyprivatelabel
3 material from other manufacturers and sell it, and
4 by the same token Flintkote produced material for
5 private label sale by other manufacturers.
6 Q.
What companiesdidFlintkote buy private
7
label material from?
8 A.
Well, for a period of time we bought
9 asbestos cement siding from Johns Manville. We sold
10
Owens Corning Corporation fiberglass insulation bats
11
under the Flintkote label. I can't recall the
12
others.
13
Q.
When that private label material would
14
come in, it wasn't packaged in any way, was it? Did
15
you have to do all the packaging and labeling, or
16
how did that work?
17
A.
No, the private label material was
18
already packaged. All we did was warehouse it and
19
then resell it.
20
Q.
So when it was sold would it have -- .
21
Strike that.
22
Take, for instance, the cement siding
23
from Johns Manville, when you bought that did it
24
come into Flintkote with the Johns Manville name on
25
it?
J.C. Schmitt/Vogelzang
73
1 A.
I think that had the Johns Manville name
2 on it, yes.
3 Q.
And when it left it still had the Johns
4 Manville name on it?
5 A.
Yes.
6 Q.
Would there be anything on that cement
7 siding that would show that it had been in
8
Flintkote's possession?
9 A.
No.
10
Q.
And would that be the same for the Owens
11
Corning insulation?
12 A.
Well, the Owens Corning insulation, I
13
think some of it had Flintkote labels on it when we
14
received it and some of it did not.
15
Q.
Now, how would Owens Corning put a
16
Flintkote label on?
17
A.
Well, the same reason that we did for
18
other companies. We would send them the labels and
19
they would fill the order with material with the
20
labels applied.
21
Q.
What companies did you send
Strike
22
that.
23
What companies bought private label
24
material from Flintkote?
25
A.
One was Johns Manville. Mainly tile
J.C. Schmitt/Vogelzang
74
1 cement, floor tile cement. And we had shipped some
2 building material, roofing materials, to Celetex.
3 We shipped floor tile cement to both Ruberoid and
4 Kentile. And we supplied some adhesives to I think
5
it was W.W. Henry. And let me try to recall some of
6 the other products. I can't recall, but there were
7 others, other companies.
8
MR. SMITH (VIA CONFERENCE PHONE):
9 This is Mike Smith. We've been going for a couple
10
of hours. I just didn't know how much longer you
11
had to go.
12
MR. VOGELZANG: I'm wrapping up here.
13
I would say within the next fifteen minutes.
14
MR. SMITH: Okay, great.
15
BY MR. VOGELZANG:
16
Q.
Mr. Schmitt, did Flintkote have a pattern
17
where they would usually label the private label
18
material before it went out to the companies you
19
just listed or how would that work? Or was it
20
different for each product?
21
A.
No, in most cases, in practically all of
22
the cases, the companies would supply the labels to
23
our plant. Celetex, for example, would ship a
24
package of labels and they would order so many pails
25
of some coating, for example, and we would apply
J.C. Schmitt/Vogelzang
75
1 their label to those pails and then ship them to the
2 Celetex warehouse.
3 Q.
Was there any company or manufacturer
4 that you worked with where one company required a
5 warning label on their particular product that you
6 would put on that product for them?
7 A.
Well, I didn't work with those companies,
8 but at least I was aware of, I think I mentioned
9 before, the Celetex label, where I mentioned a
10
competitive label that they had a warning on it and
11
there was noneed for the warning. They revised
12
their label. But generally without -- . In fact,
13
that was the only instance. We would apply their
14
label. They designed their own label, they shipped
15
the label to us, we put the label on that material,
16
as long as it was consistent for the material. If,
17
for example, we required a do not freeze warning on
18
our label, they would require the same thing,
19 because you'redealing with the same type of
20 material.
21
Q.
Were there ever any meetings between the
22
companiesregardinglabeling?
23 A.
I don't believe so. I don't know of any
24
at least.
25
Q.
None that you sat in at least?
J.C. Schmitt/Vogelzang
76
1 A.
None that I sat in, no. You're excluding
2 of course the possibility that a sales person from
3 Celetex and a sales person from Flintkote got
4 together when they made this deal for this private
5
label account. I mean --
6
MR. KADISH: He's just asking were
7 you involved.
8
MR. VOGELZANG: Yes, I'm not
9 concerned with that. Thanks.
10
BY MR. VOGELZANG:
11 Q.
Have you ever heard of Dr. Selikoff?
12 A.
Yes.
13
Q.
When did you firsthear of Dr. Selikoff?
14
A.
Sometime shortly after 1974.
15
Q.
In what context did you hear of
16
Dr. Selikoff?
17
A.
Well, I read some articles or I read some
18
documents referring to his studies of the effect of
19
asbestos fiber on employees' lungs.
20
Q.
The documents that you read written by
21
Dr. Selikoff, were those in the file that you
22
maintained in your office as Product and Plant
23
Safety Manager?
24
A.
Some of those were in the file and some
25
of them came to me after 1974 when I acquired the
J.C. Schmitt/Vogelzang
77
1 position.
2 Q.
So is it fair to say that you do not know
3 when the articles by Dr. Selikoff were placed in the
4
file that was maintained by the Product and Plant
5 Safety Manager?
6 A.
I don't know that.
7 Q.
Once Dr. Selikoff's report was read by
8 you, did you discuss with anyone whether or not
9 warning labels should be placed on asbestos
10 products?
11 A.
It didn't occur in that sequence, no.
12
Q.
Why didn't it occur in that sequence?
13 A.
Well, I don't know that that article
14
prompted me to even think about warning labels.
15 Q.
Was there anything that ever prompted you
16
to think about warning labels regarding asbestos?
17 A.
Well, yes, there were occasions when I
18
thought about that, yes.
19 Q.
What occasions would that be?
20 A.
Well, one was the occasion when the three
21
labels showed up in the Pioneer products, the
22
California products, and the other the Celetex
23
instance.
24
Q.
And in those instances you made a
25
decision that warning labels were not necessary?
J.C. Schmitt/Vogelzang
78
1 A.
Yes.
2 Q.
How did you come to that decision?
3 A.
Well, the warning labels were mistakenly
4 phrased because the warnings are against inhaling
5
free asbestos fiber, that is the hazardous material.
6 You cannot inhale peanut butter or mastic. You
7 can't inhale floor tile. There's no hazard involved
8 in -- an asbestos hazard involved in the product in
9 which the fiber is encapsulated, so it was just a
10 misconception about the hazards of asbestos fiber
11
being a hazardous material and in its free form able
12
to cause a hazard by inhalation, but on the other
13
hand the warning labels were applied on products in
14
which the fiber was encapsulated and not in a
15
respirable form.
16
Q.
So -- and tell me if I'm wrong --
17
basically it was your opinion that the asbestos
18
coming out of Flintkote was encapsulated and
19
therefore not harmful?
20
A.
That wasn't an opinion, that was a fact.
21
Q.
All right. Did you hire some scientists
22
to do a study to determine if that's true?
23 A.
No, sir.
24
Q.
Did you base this off your own education
25
and knowledge?
J.C. Schmitt/Vogelzang
79
1 A.
I based it primarily on two sources of
2
information. One was the U.S. Department of Labor,
3 who declared that floor tile workers, among other
4 classes of laborers, were exempt from the asbestos
5 regulations because they were dealing with
6 encapsulated products, and I was also based it on
7
knowledgeable information from the State of
8 California. Their Department of Health said that
9 liquid products, roofing products and products used
10
in outdoors that had the fiber encapsulated and
11 bound in a binder did not present any asbestos
12
hazard.
13
So these are knowledgeable reports
14
that were documented and it wasn't based on my own
15
opinion. Of course my own opinion supported it, but
16
I was no authority.
17
Q.
So you felt that the government findings
18
along with your own opinion was sufficient to
19
determine that warning labels were not necessary on
20
asbestos products?
21 A.
Well, it supported that and there were
22
others in our company that I discussed it with that
23
didn't disagree with me.
24
Q.
Were there those that did disagree with
25
you on your policy on warning labels?
J.C. Schmitt/Vogelzang
79
1 A.
I based it primarily on two sources of
2
information. One was the U.S. Department of Labor,
3 who declared that floor tile workers, among other
4 classes of laborers, were exempt from the asbestos
5
regulations because they were dealing with
6 encapsulated products, and I was also based it on
7
knowledgeable information from the State of
8 California. Their Department of Health said that
9 liquid products, roofing products and products used
10
in outdoors that had the fiber encapsulated and
11
bound in a binder did not present any asbestos
12
hazard.
13
So these are knowledgeable reports
14
that were documented and it wasn't based on my own
15
opinion. Of course my own opinion supported it, but
16
I was no authority.
17
Q.
So you felt that the government findings
18
along with your own opinion was sufficient to
19
determine that warning labels were not necessary on
20
asbestos products?
21
A.
Well, it supported that and there were
22
others in our company that I discussed it with that
23
didn't disagree with me.
24
Q.
Were there those that did disagree with
25
you on your policy on warning labels?
J.C. Schmitt/Vogelzang
80
1 A.
Nobody disagreed with me on that, no.
2 Q.
But given the governmental findings and
3 the opinions of yourself and your peers, you felt
4 that an independent study of the harms of asbestos
5 was not necessary, is that right?
6 A.
Well, I wasn't faced with the decision of
7 whether an independent study was needed, but I don't
8 know of any independent study.
9 Q.
Who would determine if an independent
10
study should take place regarding the harms of
11
asbestos within the Flintkote Company?
12
A.
I don't know.
13
Q.
Well, you were the Safety Manager,
14
weren't you?
15 A.
Yes, I was the Safety Manager.
16 Q.
Well, do you know under whose authority
17
conducting such a study would fall under, if not
18
yours?
19 A.
I'm not certain what sort of study you're
20
referring to. If you can be more specific on the
21
time of study, perhaps I can answer you.
22
Q.
Well, when you heard about the warnings
23
that were being used in California you said you
24
became aware of the fact that warning labels might
25
or might not be necessary on asbestos products.
J.C. Schmitt/Vogelzang
81
1 A.
Correct.
2 Q.
My question is did it ever occur to you
3 or anyone in your company that a study should be
4 done independently to determine if asbestos was
5 harmful -- ? Strike that.
6
Did you ever
Did it ever occur
7 to you that an independent study should be performed
8 to determine if there were harmful effects to people
9 using asbestos?
10 A.
Well, --
11
MR. KADISH: Excuse me. Are you
12
talking just in general or are you talking about
13
plant workers that worked in The Flintkote Company
14
plants making the products? Are you talking about
15
people that areusing --
16
MR. VOGELZANG: If you want to object
17
to the form, --
18
MR. KADISH: Yes, I'm objecting to
19
the form, because Ithink it's confusing.
20
THE WITNESS: Well, you're mixing
21
something up or you're getting me mixed up.
22
There was no question in anybody's
23 mind in the Flintkote Company, at least to my
24
knowledge, in 1974 that asbestos fiber was harmful
25
if inhaled. Now, there's no need to run a study on
J.C. Schmitt/Vogelzang
82
1 that. There have been plenty of studies run.
2
Dr. Selikoff mentioned them, the NIAS branch of the
3
Department of Labor published studies. There's no
4 question that inhaling asbestos fiber is harmful.
5
If you're asking me whether we ever
6 left somebody inhale plastic cement to see if the
7 asbestos fiber was harmful, no. It would be stupid
8 to run a test of that nature, because you can't get
9 asbestos fiber out of plastic cement by inhaling it
10
or by anything else. The asbestos fiber is locked
11
in there for periods up to thirty, thirty-five years
12
and it never comes out.
13
BY MR. VOGELZANG:
14
Q.
And that's your opinion even if the
15 material is sawed or cut or sanded?
16 A.
Well, you can't saw or cut or sand
17
plastic cement.
18
Q.
All right. So Flintkote never used any
19
warning labels on any of their products regarding
20
the harms of asbestos, is that right?
21
A.
That's correct.
22
Q.
And is it fair to say that you do not
23
know when the management at Flintkote first became
24
aware of Dr. Flintkote's studies, since you were not
25
the Safety Manager until 1974?
J.C. Schmitt/Vogelzang
83
1
MR. KADISH: You mean Dr. Selikoff.
2
MR. VOGELZANG: Dr. Selikoff, excuse
3 me.
4
THE WITNESS: I don't know when they
5 became aware of that.
6 BY MR. VOGELZANG:
7 Q.
Do you know anyone or do you have any
8 direct knowledge about the Newport News Shipbuilding
9 and Drydock Company?
10
A.
No.
11
Q.
Were you ever incharge ofthe record
12
keeping done by Flintkote as far as sales and
13
distribution?
14
A.
No.
15
Q.
Do you know of anyFlintkoteproducts
16
that was an adhesive used with turbines?
17 A.
With which?
18
Q.
Turbines.
19 A.
No.
20
Q.
Do you know of any adhesive product made
21 by Flintkote that would attach cloth lagging to
22
exterior pipes?
23
A.
No.
24
MR. VOGELZANG: I think that's all I
25
have. Do you have any questions?
J.C. Schmitt/Vogelzang
84
1
MR. KADISH: No, I don't have any
2
follow-up.
3
MR. VOGELZANG: Just me one more
4 minute to check my notes.
5 BY MR. VOGELZANG:
6 Q.
Did Flintkote have an Industrial
7
Hygienist during the time that you worked at
8
Flintkote?
9 A.
No.
10
Q.
In 1947 when you began working at
11
Flintkote were they using asbestos in their
12
products?
13 A.
Yes.
14
Q.
And do you know when they first started
15
using asbestos products?
16 A.
No.
17
Q.
Was there any particular reason that
18
Flintkote did not employ an industrial Hygienist?
19 A.
I don't know. I can't answer that.
20
MR. VOGELZANG: That's all I have.
21
Thank you.
22
MR. KADISH: Okay. That's it.
23
MR. VOGELZANG: Mr. Schmitt, at this
24
time you have the option to reserve your signature
25
so that you can read the transcript of this
J.C. Schmitt/Vogelzang
85
1 deposition, check for any typos, or you can waive
2
your signature.
3
THE WITNESS: I would prefer to read
4
it.
5
MR. KADISH: Read and sign. Okay.
6
MR. VOGELZANG: The witness reserves
7
and we've requested the transcript within fourteen
8
days, and that's all I have to say. That's it.
9 Thank you.
10
(Deposition concluded.)
11
k -k -k
12
13
14
15
16
17
18
19
20
21
22
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25
86
1
2
3
4
5
, 2001
6
7
8
9
I hereby certify that the evidence
10
and proceedings are contained fully and accurately
11
in the notes taken by me of the testimony of the
12
within witness who was duly sworn by me, and that
13
this is a correct transcript of the same.
14
15
16
17
Daniel R. Stout
18
Certified Court Reporter
Notary Public
19
20 21 22
23
24
25
87
1 2 Page-Line 3 4 5 6 7
ERRATA
From :
To:
9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25
89
1
2
3
4
5
6
, 2001
7
8
I hereby certify that I have read the
9
foregoing transcript of my testimony taken at the
10
within deposition and find it to be true and
11 correct.
12
13
14
15
16 JOHN C. SCHMITT, Deponent
17
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20
21
22
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25