Document MLEO78z8RnEvyNw3MvJ9ppV
FILE NAME Rogers Corporation ROG
DATE 2004 Feb 24 DOC ROG001
DOCUMENT DESCRIPTION Legal - Deposition of Mark DeLassus for Rogers Corp.
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SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NIAGARA
~
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In Re NEW YORK CITY ASBESTOS LITIGATION NYCAL
~
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TERRANCE E.
HILL and MARY LOU HILL Plaintiffs
his spouse
CYTEC
.
V.
ENGINEERED
Index No
MATERIALS INC et Defendants
115895
al
wee
ee
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ee
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Page 1 |;
Courtyard Marriott Fishkill New York February 24 2004
10:15 p.m.
PLAINTIFF'S EXHIBIT
- RC
VIDEOTAPED EXAMINATION BEFORE TRIAL
of the Defendant ROGERS CORPORATION by
Mark DeLassus
PRIORITY ONE
Court Reporting Services
899 Manor Road
Staten Island New York 10314 718 983-1234
PRIORITY COURT REPORTING SERVICES 718 983-1234
Attorneys for Plaintiffs
3
360 Lexington Avenue 20th floor
New York New York 10017
4
BY MARK G. STRAUSS ESESQQ
5
6 ANDERSON KILL & OLICK Carbide
7 Attorneys for Defendant Union
New York New York 10020
8
GARY
BY GARY CASIMIR ESQ
9
10 MCCARTER & ENGLISH ESQS Attorneys for Defendant General
11
Electric Four Gateway CenteCr enter
12 100 MulberryStreet
Newark New Jersey 07102-0652
13
BY ALLISON WOOD ESQ
14
BEACH 15 HARRIS
LLP
Plastics
16 Engineering Enginering Corporation 805 Third Avenue 20th Floor
17
New York New York 10022
BY
119 8
MICHAEL MASINO ESQ
PHILLIPS LYTLE LLP
20
Attorneys for Defendant Cytec
Engineered Materials
21
3400 HSBC Center
Buffalo New York 14203
22
BY JAMES W. WHITCOMB ESQ by telephone
333333
333
25 Continued
Page 2
2 EXAMINATION BY
PAGE
3 MR COMERFORD
6
4 MR CASIMIR
156
5
6
EXHIBITS
7 DELASSUS
FOR DESCRIPTION
PAGE
00
1-3
Three documents
15
9
4-5
documents
141
10
11
12
REQUESTS FOR INFORMATION
DESCRIPTION
PAGE
14
Production of test that was done ncar
107
15 around 1978
16 Production of transcript
141
17
18
19
20
21
2223
2223
2223
2223
Page 4 [
Page 3
Page 5 }-
1 APPEARANCES Cont 2 McGIVNEY KLUGER & GANNON P.C.
Attorneys for Defendant Rogers
3
Corporation
80 Broad Street 23rd Floor
4
New York New York 10004
5 BY CHRISTOPHER M. SANTOMASSIMO ESQ
6
12
STIPULATIONS
12
IT IS HEREBY STIPULATED AND AGREED by
3 and between the attorneys for the respective
parties
herein
sealing
filing
4
certification
herein
that
twhietsheinaling
filing
and Before
certification of the
Examination
objections 6 Trial be waived that all
except as
7 to form are reserved to the time of trial
Also Present John Comerford Esq Lipsitz
7
& Ponterio Esqs for
Plaintiffs and Michael Bennett
8
9 *** Videographer ***
10
11
8
That the transcript may be signed before
9 any Notary Public with the same force and
:
10 effect as if signed before a Clerk or Judge of
:
11 the Court
12
That this Examination Before Trial may
5
13 be utilized for all purposes as provided by the
12
14 CPLR
13
15
That all rights provided to all parties
14
16 by the CPLR shall not be deemed waived and the
16 17 appropriate sections of the CPLR shall be
17
18 controlling with respect thereto
A
18
19
IT IS FURTHER STIPULATED AND AGREED by
19
20 and between the attorneys for the respective
20
21 parties hereto that a copy of this Examination
21
22 Before Trial shall be furnished without
22 23 charge to the attorney representing the
24
24 witness testifying herein
25 25
"2
2
Pages to 5
PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
Page 6
Page 8 [-
Nak
MR COMERFORD Let's put
1 the record beginning approximately at 10:19
2 stipulations on the record if we have any
W
Everyone appears to be here
4 John Comerford and Mark Strauss on behalf of
2 a.m. February 24th 2004
3
This is the deposition of Mark
4 DeLassus in the matter of Terrance E. Hill and
5 the plaintiff
6
At this time -- Jim can you hear
7 me Jim Whitcomb I am just doing a test
8
No Response
9
MR SANTOMASSIMO Jim can you
10 hear us
5 Mary Lou Hill his spouse plaintiffs versus
6 Cytec Engineered Materials Inc. et al
7 defendants in the Supreme Court State of New
8 York County of Niagara Index No. 115895
9
The location of which this
10 deposition is being taken is the Marriott
11
MR WHITCOMB I can barely hear
12
MR COMERFORD Okay Jim how
13 is that
11 Courtyard Hotel located at 17 Westage Drive in
12 Fishkill New York
13
Present along with Mr. DeLassus
14
MR WHITCOMB That's much
14 is the stenographic reporter Cheryll Kerr
15 better
15 with Priority Court Reporting and
16
MR COMERFORD Jim can you just
17 identify yourself for the record
18
MR WHITCOMB James W. Whitcomb
16 currently speaking the videographer Michael 17 Bennett representing Certified Video 18 Productions of Lawrenceville New Jersey
19 Phillips Lytle LLP for Cytec Engineered
20 Materials
21
MR COMERFORD At this time I
22 assume all objections are preserved to the time
23 of trial except as to form objections
24
Any other stipulations anyone
25 wants to put on the record other than an
19
Would counsel please identify
20 themselves
21
MR COMERFORD John Comerford
22 and Mark Strauss on behalf of the plaintiffs
23
MR SANTOMASSIMO Christopher M.
24 Santomassimo with the law firm of McGivney
25 Kluger & Gannon representing the Rogers
1 objection by one is an objection by all before
2 we start
Page 7
1 Corporation and Mr. DeLassus
2
MR CASIMIR Gary Casimir
Page 9 |:
:
3
MR SANTOMASSIMO That's fine
3 Anderson Kill & Olick
4
MR CASIMIR Objection is
4
MS WOOD Allison Wood McCarter
5 fine
5 & English
6
I don't know what you meant
6
MR MASINO Michael Masino
7 objections to form
8
MR COMERFORD Well usually
7 Harris Beach
8
THE VIDEOGRAPHER And is there
9 defendants want to preserve all objections
10 until the time of trial but if you don't want
9 counsel appearing by phone
10
MR COMERFORD Mr. Whitcomb
11 to do that --
12
MR CASIMIR No just with the
13 video going on we can also reserve it on the
14 record too
15
MR COMERFORD It's really up to
11 please announce yourself
12
MR WHITCOMB James Whitcomb for
13 Cytec Engineered Materials
14
THE VIDEOGRAPHER Would the
15 reporter please swear in the witness
16 you
17
MR CASIMIR Okay
18
MR COMERFORD I -- usually the
19 defendants request that all objections except
20 as to form be reserved to the time of trial
16 MARK DELASSUS
17
called as a witness having been first
18
duly sworn was examined and testified
19
as follows
20 EXAMINATION BY
21
MR CASIMIR Okay I
22 understand
23
MR COMERFORD We are on the
21 MR COMERFORD
22
THE STENOGRAPHER Can we please
23 get your full name and address for the record
wr
22 same page then
22
THE VIDEOGRAPHER We are now on
24 please
25
THE WITNESS Mark DeLassus 77
orem ramen anes os
PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
Page 10
1 Schoolbrook Lane Burnan Connecticut 06066
1
Q. Did you review answers to
Page 12 |:
:
2
THE STENOGRAPHER Thank you
2 interrogatories for example while --
3
Q. Mr. DeLassus I am going to
3
A. Well I did a couple of answers
4 introduce myself
4 yeah
5
My name is John Comerford I am
5
Q. Well what I would like to do
6 here with Mark Strauss to ask you some
6 sir is as -- as best you can is sort of give
7 questions about a case called Terrance Hill
7 me laundry list of what documents if any
8
We represent the plaintiff in
8 you reviewed in anticipation of coming here
9 this matter Good morning
9 today
10
A. Good morning
10
And I think you said answers to
11
Q. Sir know you have given a
11 interrogatories
12 deposition in the past but I would be remiss
12
A. looked at one page of an
13 if I just don't go over the ground rules real
13 interrogatory
14 quickly
14
Q. Do you know for what case that
15
Today if at any time if you don't
15 interrogatory was for
16 understand any of my questions please advise
16
A. No Response
17 and I will do my best to rephrase the question
17
Q. Was it for this one I can -- I
18 hopefully in a way that you do understand
18
can --
19
If you could wait for my full
19
A. I don't know the name of the
20 question before you begin to give an answer
20 case but it was something from the past -- you
21 the court reporter will be much happier with
21 know
22 us because she can't take down two people at
22
Q. Well let me ask you this
23 once
23
Was it an interrogatory
24
I'll extend the same courtesy for
24 surrounding an asbestos case that involved
25 you I will wait for a complete answer before
25 Rogers Corporation
1 I begin with my next question
Page 11 1
A. Yes
Page 13 :
:
2
Sir as you may or may not know
2
Q. Okay and do you know for what
3 am here to ask you some questions about your
3 issue you looked at this interrogatory for
4 relationship and your knowledge of the Rogers
4
A. just wanted to see what grade
5 Corporation and I would like to first start
5 numbers were listed that someone said pertained
6 off with this question
6 to Rogers
7
Have you ever given a deposition
7
Q. Okay and do you know if that
8 before
8 interrogatory you looked at --
9
A. Yes
9
Was that for a case out of the
10
Q. How many
11
A. One
10 Diemolding facility in Canastota New York 11 Was that a different type
12
Q. And the deposition you gave in
13 the past -
14
Was that in relation to a case
12
A. No Response
13
Q. am just trying to understand --
14
A. I don't know which one it was
15 concerning Rogers Corporation
16
A. Yes
15
Q. Do you know if it was a recent
16 interrogatory or one that was done a number of
17
Q. Other than that have you given
18 any other depositions in any other type of
19 case
20
A. No.
17 years ago
18
A. Reasonably recent I think
19
Q. By reasonably recent would
20 that be within the last year
21
Q. And sir before you -- you came
22 today what documents if any did you review
23 in anticipation of your testimony
24
A. don't think I reviewed any
21
A. I don't know that
22
Q. Okay
23
And as you sit here today can
24 you tell me what you remember looking at
25 documents
25
Was your recollection refreshed
Mee
eee meee eee eT NT ee
ee Ne ne ea
ee
PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
Page 14
Page 16 |.
;
1 in some way of the grades of asbestos
1 three are
2
A. The grades were listed there but
2
These are answers to
3 never saw the document from which the grades
3 interrogatories by Rogers and there's three of
4 were identified originally
4 them and all of them surround cases that are
5
I just wanted to see what was
6 in in the interrogatory
7
Q. And by grades of asbestos just
8 so we are on the same page could you tell me
9 what you mean by that
10
A. mean grades of molding
5 Diemolding
6
What I would like to thet first to do
7 is hand them to Mr. Santomassimo and I would
8 ask him to hand to the witness to see if this
9 refreshes his recollection in some capacity
10
Informal discussion held off the
11 compound --
12
Q. Okay
11 record
12
MR COMERFORD And Mr -- I'm
13
A. -- grades of asbestos
14
Rogers only sold molding
15 compound so was the -- it was the number
16 or the product name
17
Q. Would it be RX and then a
18 specific number
19
A. Yes
13 sorry
14
If you want to stipulate to what
15 he looked at I would -- I will take your word
16 for what he looked at ahead of time if you
17 want to move this along
18
MR SANTOMASSIMO Off the
19 record
20
Q. Okay
21
Do you know if the number was 462
22 that you looked at
23
A. That was one of them
20
Informal discussion held off the
21 record
22
MR SANTOMASSIMO Sure Go
223 ahead
24
Q. Okay
25
Do you know what the other number
223
A. The one that I --
223
MR SANTOMASSIMO Yeah
Page 15
Page 17
1 was sitting here today without having the
2 grades of the interrogatories
3
A. I'm not sure
1
A. -- the one that I looked at a
2 little bit yesterday was Exhibit 1
3 indicating
4
Q. Okay
5
What I have here sir is some
6 interrogatories that have been answered in the
7 past
8
Let me just mark them and show
9 them to you if I may to see if that refreshes
10 your recollection to ensure we are on the same
11 page okay
12
MR COMERFORD I would ask the
13 court reporter if she would be kind enough to
14 mark these three exhibits but I would like to
15 go by the witness name one two and three
16
Thereupon three documents were
17 marked DeLassus Exhibits 1 through 3 for
18 identification
19
Informal discussion held off the
20 record
21
MR COMERFORD And for all
4
Q. And Exhibit 1 just so we are on
5 the same page sir is answers to
6 interrogatories that were given in a case where
7 the plaintiff's name was Elaine R. Clark
8 K has an index number 2132 and this
9 has been marked today as DeLassus 1
10
And sir other than that
11 interrogatory which has been marked as
12 DeLassus 1 have you looked at any other
13 documents in anticipation of your testimony
14 today
15
A. I don't think so
16
Q. And sir I --
17
I -- I just want to make sure
18 that I understand that you are being
19 represented today by Mr. Santomassimo
20
Is he your attorney for -- for
21 this proceeding
22 exhibits that I marked today Counsel I was
23 going to leave with the court reporter
24
I do have an extra copy I will
22
A. Well he's the attorney --
23
MR SANTOMASSIMO Yes
24
A. ++ for Rogers Corporation so I
25 say -- let me just briefly tell you what these
25 yes I guess so
Te
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ee easemen menrerpessyaare Tro ar yE oure e
emterS ean eas ay aE TE ON
aR
ay er Bh EET erent
5 Page14 sto 17
PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
Page 18
Page 20 |.
1
Q. And do you currently work for
2 Rogers Corporation
3
A. Yes
That's the Crisco Bosco Company
2 started there in 1974 so the product line
3 that I worked at originally came to Rogers in
4
Q. Okay so I can't ask you
5 questions about communications you had with any
6 attorneys
4 1977
5
My title was a development
6 chemist I worked in the D center In 1980
7
That's privileged that's sacred
8 but what I can do is ask you questions about
9 any conversations that you had about this case
10 with employees or anyone
11
And I am not interested in
7 became --
8
I moved from the & center to
9 the manufacturing facility and my title was
10 technical manager
11
In 1982 I became the controller
12 conversations that you may have had for
13 example about your wife that you have a
14 deposition that you had to drive to Fishkill
15 today
16
My specific question to you is
17 this Who if anyone other than your
18 attorneys have you discussed this case with
19
A. I didn't have any discussions
20 that the attorneys weren't at
21
Q. Okay
22
When you met with your attorney
323 to discuss this case other than your attorney
12 In 1985 I became the marketing manager In
13 1988 I became the sales manager Sales and
14 marketing manager
15
In I think about 1999 I became
16 the vice president and we have since sold that
17 business so now my --
18
am back at the corporate
19 headquarters and my title is director of new
20 business development
21
Q. And sir where is your office
22 located today
23
Where are the corporate
24 who else was present
25
Who else was there
24 headquarters Where is that located
25
A. Rogers Connecticut
Page 19
|-
Page 21
1
A. I-
12345
Q. Okay
2
You want the name or you want the
3 function
12345
Sir you talked about a portion
12345 of the Rogers Corporation -- I think you said a
4
Q. The name first please
5
A. Dave Heilemann
4 division was sold in 1999
5
A. It was sold in 2002
6
Q. Can you spell that for the
7 record please as best you can
8
A. will try M
9
Q. Okay Anyone else sir
10
A. That's it
6
Q. I'm sorry
7
And what division was sold in
8 2002 and who was it sold to
9
A. The molding compounds division or
10 the multiple composites division depending
11
Q. Okay so what I would like to do
12 if we can is -
13
Just give me a thumbnail sketch
14 if you would sir on your job functions with
15 Rogers
16
What I would like to do if you
17 could is give me the start date with Rogers 18 and just walk us to the present your various 19 job titles and just -- a rough summary of what 20 your job responsibilities were with each title
21
A. Okay
22
I started with Rogers in
23 September 1977. I came to Rogers in an
24 acquisition from Acme Resin a part of CPC
25 International
11 what area you are talking about indicating
12 was sold to Perstorp Corporation
13
Q. Could you spell that
14
A. O
15
Q. And was from a particular reason
16 that division was sold in 2002
17
A. The direction for Rogers
18 businesses had changed and Perstorp which is
19 Swedish company and owns -- owns a Belgian
20 factory that makes very similar products to
21 Rogers was very interested in acquiring that
22 Rogers division so the two companies agreed
23
Q. Do you know sir on whether
24 there was any agreement reached between that
25 company and Rogers concerning any liabilities
"6
Pages 18 to 21
PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
Page 22
l involved with asbestos
2
A. I did not - did not participate
3 in the actual agreements
4
Q. Okay
1
Well can you tell me
2 Mr. Heilemann -- what his job today is with
3 Rogers Corporation
4
What's his title
5
Is there anyone at the company
6 that might have that information who would --
7 who would have personal knowledge to that
8
A. am sure that there's two or
9 three people that have access to the agreement
10
Q. Okay and who would one of those
11 two or three people be
12
A. think the corporate treasurer
13 would have access to the agreement
5
A. He is retired from Rogers
6 Corporation
7
Q. And do you do you know
8 approximately what year he retired
9
A. I think it's been very recent
10 Probably the late end of 2003
11
Q. And when he retired do you know
12 what his title was with the company
13
A. don't know what it was when he
14
Q. And who is that sir
14 retired
15
A. Bob Sulfur
16
Q. So as you sit here today sir
17 you don't --
18
Do you have any knowledge at all
15
Q. Can you give me an appreciation
16 what his job responsibilities were when he
17 worked for Rogers Corporation
18
A. He worked in the finance
19 whether or not Rogers retained the liability 20 for the asbestos claims that might be filed
19 department and I believe at one point in time
20 his title was -- dealt with a lot with
21 against Rogers do you know either way
22
A. I don't know what that agreement
23 said I only know how much the company paid
24
In general terms I don't know
25 anything about the details of the agreement
21 insurance companies and his title was risk
22 manager
23
Q. And do you know where Mr.
24 Heilemann lives today
25
Not the exact address but the
Page 24
Page 23
1
Q. And the agreement would speak for
1 general area will suffice
2 itself Iassume
2
A. Rhode Island
|
Page 25
;
3
A. am assuming so
4
Q. Okay
3
Q. Do you know where -- where in
4 Rhode Island
5
Sir I want to go over some names
6 of people with you if I may and the first one
7 is think is David Heilemann
8
Am I saying that correctly
9
A. Yeah
10
Q. Can you give me an idea how old
11 this gentleman is
12
A. I think he is about sixty
13
Q. And do you know what year he
14 started with the Rogers Corporation
15
A. Not exactly no
16
Q. Let me say it this way
5
What city Cranston That's the
6 only city I know so I had to throw that out
7 but what city in Rhode Island he resides in
8
A. No. I don't
9
Q. I would like to ask you about a
10 Howard -- I think Raphaelson
11
A. Raphaelson
12
Q. Raphael --
13
I have it spelled as
14 N Does that sound about
15 right
16
A. N
17
My -- it's claimed in this case
18 my client was exposed to asbestos from 1961 to
19 1966 okay
20
Do you have any appreciation on
21 whether he was working with the Rogers
22 Corporation during that time frame
17
Q. Okay
18
Is he still with Rogers
19 Corporation
20
A. No he is not
21
Q. Is he retired
22
A. Yes he's retired
23
A. I - I wouldn't think it would
24 go back that far
25
Q. Okay
23
Q. am going to ask a lot of the
24 same questions
25
Do you know if he was with Rogers
PRIORITY COURT REPORTING SERVICES 718 983-1234
7 Pages 22 to 25
DeLassus
Mark DeLassus
1 Corporation on or before 1966
23
A. He might have been
23
Q. When he worked for Rogers what
4 was his title or position
5
A. His last position was the
6 corporate controller
7
Q. And do you know approximately
8 what year he stepped down at Rogers
Page 26
Page 28
I It was more like that indicating
2
And sometime around 1920 when
3 phenolic resins were invented by Leo Bakehand
4 phonetic a Belgian guy he came to the
5 United States and worked with Rogers along with 6 other companies most notably like Union
7 Carbide and start -- started putting phenolic
8 resin into the paper beater which is sort of
9
A. Approximately three years ago
9 like the pulp mixer so that we then had a
10 Three or four years ago so that would put it
10 phenolic paper product so that when it was
11 at like 2000 or 2001
11 molded it would be rigid and hard
12
Q. Okay and because he is not a
12 indicating
13 lady we can ask what his age was
13
These paper products went into
14
Do you have any idea how old he is
14 various applications but relative to what I
15 today
16
A. Sixty
15 do it became a -- a molding compound by taking 16 the paper itself and cutting it into small
17
Q. Okay
18
Other than his position as
17 pieces sort of like with a pizza cutter 18 indicating
19 comptroller do you know any other positions he
19
They sold it as what was called
20 held during his tenure at Rogers
20 mold dice -- molding dice so that you had
21
A. He was the controller when I
22 started and he was the controller when he
21 little 11 little squares of material indicating
22 that then could go into the mastic mold to be
23 finished
23 made into a part .
24
Q. If we needed to find this
24
And then from there it was -- it
;
25 gentleman today what -- what city or
25 took the same kinds of raw materials and i
Page 27
1 geographic area does he reside in
2
A. am not totally sure but I
3 think he still lives in Connecticut
4
Q. Sir can you just walk me through
5 Rogers Corporation
I extruded them or roll mill compounded them 2 or you know
3
Whatever it took to come up with
4 forms or shapes that were acceptable to the
S customer
6
I know you didn't start with the
7 company until 1977 but if you can based on
8 your review of documents and your knowledge of
6
Q. I would like to focus in on the
7 time if I can on the time period 1950 to
8 1970
9 the company can you tell me what type of
10 business generally Rogers was in and if -- if
11 you can go back as far as you can I would
12 appreciate it
13
A. Okay
9
Okay
10
A. Okay
11
Q. You used a term -- I think you
12 called them something dice
13
I didn't write it down I'm
14
Rogers started out as the Rogers
15 Paper Manufacturing Company in Manchester
16 Connecticut and made paper board that would be
17 used inside of clothing items like collars
18 indicating and coattails and things like
14 sorry
15
A. Molding dice
16
Q. Molding dice Okay
17
Let's focus on that time period
18 if can 1950 to 1970
19 that
20
And around -- so it was paper
21 from 1832 Fibreboard very thin -- thin board
22 indicating sort of like the backboard on
23 your pad of paper
19
You will see sir I really have
20 very little knowledge how this is done so
21 treat me like a third grader if you can and
22 walk me through it
23
This molded dice -- what
24
That would be about the thickness
25 indicating It was not corrugated cardboard
24 facilities or facility was this molded dice
25 manufactured at
|
Page 29
PRIORITY COURT REPORTING SERVICES 718 983-1234
"8
Pages 26 to 29
Mark DeLassus
123tn
A. Manchester Connecticut
123tn
Q. Okay
123tn
Again this is 1950 to 1970 am
4 focusing on
S
The Manchester Connecticut
6 facility -- did it -- it sounds like Rogers
Page 30
1 hourly people and maybe as many as twenty 2 salaried people
3
Q. Was it a union shop if you know
4 during that time period
5
A. am pretty sure the union was in
6 there yes
Page 32
;
7 Corporation -- stop me if I am wrong -- had
7
Q. And do you know what the name of
8 more than one physical location or was this
8 the union was that worked there
9 the only physical location during that time
9
A. That was the International
10 period
11
A. There was more than one
12
Q. So was this particular facility
13 in Manchester Connecticut --
14
Did it have a special name like
10 paperworkers union I think that's what it was
11 but it was the paper industry union
12
Q. Was this particular facility at
13 that time period broken up in any type of
14 divisions or departments if you know
15 manufacturing facility or was it just known as 16 Rogers Corporation
15
A. It was at that time probably two
16 departments
17
The one in Manchester
18
A. Well I don't know the name of it
19 at that time because at that time I believe
17
Q. And those two departments were
18
A. The paper machine department and
19 the extrusion department
20 that there were only two locations for Rogers
20
Q. Can you just give me an -- an
21 Corporation
21 appreciation of what each -- what the function
22
Whether they applied a name to --
22 was of each department
23 to it other than the Manchester factory I
24 don't know
25
Q. Focus back on the Manchester
23
A. The paper machine department took
24 this paper pulp mixed with phenolic resin onto
25 a paper machine indicating and made sheets of
Page 31
12 facility during this time period
12
Can you 11 can you give me the
3 actual address where this facility was located
4 The street or --
5
A. Its its address is the corner
6 of Mill and Oakland streets
1 material approximately fifty inches wide
2 indicating by about seventy inches long
3 approximately depending on the grade and
4 eighth of an inch thick indicating
5
These were used in the printing
6 industry
Page 33
7
Q. And is that facility still there
7
Q. Did .
8 today
9
A. Yes it is
8
Can you tell me how they were
9 used in the printing industry
10
Q. And if we drove there today and
11 looked for a name indicating what would --
10
A. They were used for the making of
11 intermediates between the magnesium masters and
12 what would the name be today on that - on 13 that -- that building
12 rubber printing plates in flexographic printing 13 indicating
14
A. That's the factory that was sold
15 so it would have the name on it of Vyncolit
14
Q. And this material that was being
15 manufactured --
16 Y
17
Q. Okay Back to the 1950/1970 time
18 period If you can how many people were
19 employed at this facility
16
Do you know if asbestos was a
17 component part of that material
18
A. I don't know what -- I don't
19 know --
20
Now if it vacillated a lot
21 during that time period you can tell me but I
22 am just looking for your best estimate of how
20
Between 1950 and 1970 I don't
21 know when there was an introduction of
22 asbestos
23 many people were there at that manufacturing
24 facility
25
A. My guess would be about forty
23
Q. Do you know at any time during
24 that period --
25
am just focusing on the paper
SATION TS SSI ST POA i
a
etree
eae rar
9 Pages 30 to )
PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
Page 34
1 material at this point -- at any time was asbestos
1
2 ever a component part of that material
2
3
A. Yes
3
4
Q. Okay
4
5
And as you sit here today do you
5
6 know when --
6
7
I think you just said you don't
7
8 know when Can you give me the best estimate
8
9 decade of the 50s 60s early 70s Do you
9
10 have any idea
10
11
MR CASIMIR Objection
11
12
MR SANTOMASSIMO Objection to
12
13 form
13
14
Q. you know
14
15
I am just looking for your best
15
16 estimate
16
17
A. couldn't guess very accurately
17
18
Q. Okay
18
19
And then the ex -- the ex -- the
19
20 extrusion department --
20
21
Before I go to that department
21
22 was there any other material being manufactured
22
23 in that -- in the -- in that first department
23
24 = that you haven't told me about
24
25
A. No just paper Paper board
25
So at some time period there was conversion then from the molding dice to the -- to this molding compound is that fair to say
A. Yeah Yes
Q. Can you give me your best
estimate on what decade that conversion took
place
A.
50s
Q. Okay
So let me ask you from this 1950
to this 1970 time period how many different grades of holding compound were being
manufactured
Hundreds Twenty Ten am looking for your best estimate
A. Product names were probably twenty to thirty
Q. Okay Out of those twenty to thirty --
and am just going to call it molding compound if I may
Out of those twenty to thirty- thirtyis grades a fair term or should I call it something else
Page 36
Page 35
Page 37 |:
123
Q. Let's go to the extrusion
12
A. Grades are fine
2 department
123
What was done there
12
Q. Okay
3
Of those twenty to thirty
4
A. Sometime in the middle 50s
4 different grades can you give me an
5 someone had the idea that instead of going to 6 the trouble of making these molding dice we 7 would just take -- take basically the same raw 8 materials and extrude them indicating through 9 basically a large meat grinder indicating
5 appreciation of how many out of those twenty to
6 thirty different grades contained asbestos as a
7 component part of that material
8
A. would say about a quarter
9
Q. And the ones - so we are going
10 with a die plate on it about this big 11 indicating ten to eleven inches in diameter
10 to break up my questions if I may sir and do 11 containing molding compound and
12 indicate and however many holes you could put
12 nonasbestos molding compound
13 into it depending on the size of the pellets
14 that you wanted to make indicating
15
So you would extrude the wet mass
13
Is that fair to say
14
A. Yes
15
Q. So about twenty percent of
16 of material through the die plate and then you
16 the end product coming out has asbestos and
17 would dry the pellets out in an oven
18
Q. And this end product just so we
19 are on the same page what was this commonly
20 known as
17 about seventy percent doesn't during that 18 time period and I appreciate that's just best
19 estimate
20
Is that fair
21
This end product being
22 manufactured Molding compound I am just
23 looking for --
22
A. Molding compound
25
Q. Okay
21
A. Twenty percent of the grades
22 contained asbestos and the rest did not
23 contain asbestos
24
Q. Okay
25
Now this is a little different
preety
et
SR
ere ee
Ae RCE TCE A
RTO
i ST
10 Pages 34 to 37
PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
1 question
Page 38 1
The fiberglass grades were the
Page 40
;
2
What -- and I appreciate
2 majority
3 twenty percent of the grades had asbestos
3
Q. Let me focus my next questions on
4 seventy percent didn't
4 the containing molding compounds from
5
But if we had to add up all the
5 '50 to '70 again I am in that time frame
6 end product coming out what percentage of that
7 end product contained asbestos
8
MR SANTOMASSIMO Objection to
6 period
7
Can you give me an idea if you
8 know based on your review of documents and --
9 form
9 and historical review of -- of this case who
10
Q. The reason I am asking the
10 some of the customers were if you know of
11 question is I am assuming some grades were
12 more popular than others
13
Do you understand where I am
11 Rogers
12
Who did they sell to
13
A. 50s
14 going with this
15
A. understand the question
16
Q. Okay
17
A. Unfortunately I can't tell you
14
Q. 50s to 70s
15
am looking for a list as best
16 as you can tell me
17
MR SANTOMASSIMO Can you read
18 which one was the most popular at the time
19
Q. Can you tell me this
18 the question back please Cheryll
19
THE STENOGRAPHER Sure
20
Was containing molding
21 compound more popular than the asbestos
22 molding compound
23
A. For the 50s I couldn't --
20
Record read
21
MR SANTOMASSIMO John I an
22 going to object
23
We are here to talk about the
24
I couldn't tell you that because
25 the products originally came out of the paper
24 Hill case and Die Molding facility not -- not 25 every customer that -- that Rogers had during
Page 39
Page 41
1 market which didn't have -- wasn't an
1 the time period -- that even goes beyond the
2 asbestos industry
2 time of Mr. Hill's employment or -- the time of
3
So there were cellulose grades
3 Mr. Hill's employment at Diemolding Let's
4 that were the first products made in the
5 extrusion department --
6
Q. Let me -1
7
A. -- which would be like cotton
4 focus on Diemolding
5
MR COMERFORD My concern and
6 this has really been the history of the case
7 management order is when you depose a
8 cotton with phenolic resin
9
Q. Same question for the 60s
8 corporate representative you don't cherry pick 9 just for that specific case and that specific
10
Can you answer that one whether
10 site
11 the containing molding compounds were
11
You are really forced to do it in
12 more popular or less popular than the
13 asbestos molding compounds
14
A. I would think in the 60s they --
12 a global nature Otherwise we're -- as much 13 as enjoyed meeting everyone in this room we 14 are coming back to Fishkill New York every six
15 there was 13 there was a good chance they were
16 about equal
17
Q. Same question for the 70s
18
Do you know which one -- did one
19 start to become more popular than the other
20 the asbestos versus the nonasbestos
15 months to then do another job site
16
I am not going to focus on these
17 other job sites You will see I am going to
18 move on real quick
19
I need to find out -- a number of
20 reasons -you -you know if he tells me for
21
A. The total factory by the 70s had
22 started to evolve towards fiberglass so
21 example that -- you know a particular 22 defendant was the great majority -- or customer
23 essentially neither the asbestos nor the -24 the cotton type materials was the majority of
25 what was made
23
24 =
25
was a great majority of where their work went that's highly relevant product ID and
what have you
a
a
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a
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11 11 Pages 38 to 41 )
PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
Page 42
12
MR SANTOMASSIMO Not for the
1
A. - electric switch or something
12 case
2
Q. Would you agree that Diemolding
3
MR COMERFORD Sorry
3 in Canastota New York then is a custom
4
MR SANTOMASSIMO Not for the
4 molder
Page 44 |: -
5 Hill case
5
Is that fair
6
MR COMERFORD What if he tells
6
A. Yes
7 me the biggest customer for example was Die
8 Molding during that time period
9
MR SANTOMASSIMO It's not
7
Q. Okay
8
I am just looking if you know
9 from 1950 to the 1970s I will limit it to the
10 relevant to the Hill case because Mr. Hill
11 wasn't working there during that time period
12
MR COMERFORD He wasn't working
13 at Die Molding from 1950 to 1970
14
MR SANTOMASSIMO 1950 to 1960
10 northeast who some of the customers were of
11 Diemolding -- were of Rogers
12
MR SANTOMASSIMO For phenolic
13 resins we are talking about
14
MR COMERFORD For
15
I said let's focus on the Die
16 Molding facility during the right time period
17
What I am telling you John is I
18 am -- I will give you leeway but I am not --.
19
MR COMERFORD am not going to
20 spend a whole lot of time on other job sites
21 I just want to get an appreciation of what
22 their customer base was
15 containing molding compounds
16
A. There are a lot of names of
17 companies that I have seen but since those 18 companies were no longer customers by the time 19 became involved most of them I plain -20 simply don't -- don't recollect because they 21 were like -- that was like meaningless
22 information to me and most of those
23
What if their customer base was
24 limited to Alaska I don't know until I find
23 companies --
24
Before the advent of the custom
25 out
25 molders the OEMs did their own molding so
Page 43
Page 45
1
MR SANTOMASSIMO Well let's
l that by the time I was personally involved the
2 find out
2 companies like Western Electric or something
3
MR COMERFORD I am just
3 like that --
4 trying to get an appreciation of where they
5 sold
4
They had stopped doing a lot of
5 the molding themselves and had pushed them out
6
MR SANTOMASSIMO We will tread
6 to the custom molders by say -
7 lightly
7
About '65 a lot of the OEMs were
8 9 that
MR COMERFORD I can appreciate
8 not molding anymore
9
Q. And let me ask you this
10
Q. Sir I will limit my questions to
11 custom molding shops
10
Do you know any names of custom
11 molding companies as you sit here today in the
12
Do you know what a custom molder
12 Northeast that Rogers would have sold directly
13 is Do you know that term
14
A. I know what I call a custom
13 to from 1950 to 1970
14
A. I think it's pretty clear that
15 molder
15 we -- we sold to Diemolding
16
Q. Tell me what you -- what a custom
17 molder is under your analysis
18
A. Custom molder is only molds .
16
We sold to Chicago Molded
17 Plastics We sold to Harvey Hubbell We sold
18 to Butterfield Plastics We sold to Shaw
19 they like buy the plastic materials and they 20 only mold and the product they sell is usually 21 shipped on to more what you would call an OEM 22 and then the OEM makes it into no you know
19 Plastics
20
We sold to -- just -- I am really
21 fishing here for the names
22
Norton Plastics and things like
23 whatever the device is
23 that
24
A telephone or --
24
Q. Focusing again in the same time
25
Q. Would you --
25 period '50 to '70 the containing
te
ee
net rectnnret eee Le ee eT TT
Be
ee
12Page4s2 to 45
PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
Page 46
Page 48 F
1 plastic molding compound manufactured by 2 Rogers as you sit here today do you know 3 ultimately what some of that plastic molding
4 compound was being used for whether it be 5 kitchenware -- I'm just looking generally now
6
Kitchenware automotive industry
7 Can you give me an appreciation of what the
8 containing plastic molding compound
9 was going to end up as
10
A. Rogers was a producer of the
11 specialty engineering grades of phenolic
12 molding compounds and was not a producer of
13 general purpose or -- or sometimes called the
14 mineral phenolic molding compounds
15
And so as a consequence of that
16 the prices of Rogers materials were two to
17 three times the prices charged by other
18 companies per pound so Rogers did not
19 participate into the household appliance market
20 where some of the least expensive materials
21 were used
22
Our products ended up into like
23 electrical switches or electrical commutators
1 indicating
2
Q. Okay
3
Sir I am going to go back to
4 what you called the -- the extrusion
5 department
6
During the 1950 to 1970
7 department -- 1950 to 1970 time period can you
8 give me an idea of how many employees would be
9 in that department working
10
A. I would say about fifteen
11
Q. Okay
12
Okay and can you tell me what
13 the title would be of someone who would work in
14 that department
15
I think your testimony earlier
16 was it was a union shop so I assume these
17 people had specific job specifications if you
18 know
19
A. There were -- one was a premix
20 operator
21
That's the person that took the
22 raw materials and weighed them and mixed them
23 Then out of the mixer it went into the
24 for electrical motors
24 extruder so then there was an extruder
25
Something that had mechanical a
25 operator's job to run the extruder and then to
Page 47
Page 49
123 thermal or an electrical performance
2 requirement
123
Q. And the electrical switches you
4 just talked about was that mostly for
1 dry the products through the oven indicating
2
Then after that there was a
3 blender operator took the dry pellets and
4 dried 11 and blended them in the -- what's
5 automotive or moment use or what kind of use
5 called a twin cone indicating blender
6
A. It would be like the Western
6
That's where the wax coating was
7 Electric kind of thing or a Square D kind of
7 put on the pellets and stuff like that to keep
8 thing
9
Q. Can you --
8 them shiny
9
Q. you could take me through the
10
When you say -- just because I
11 don't have a good knowledge of this as you can
12 tell Western Electric --
13
What do you mean by the Western
14 Electric thing
15
A. Western Electric was the
10 same analysis you just did I am looking for an
11 appreciation for example of how large the
12 mixer was and some of these other pieces of
13 equipment you just identified if you can just
14 give me your best estimate
15
Was it something the size of a
16 manufacturing arm of the Bell Telephone system
17 They made all of the switch gear and all of the
18 telephones
19
Q. Okay
20
And just so we are clear the
21 molding compound manufactured by Rogers was
22 used in what way for Western Electric
16 cereal bowl Was it something the size of a
17 gallon drum
18
I just need an appreciation of
19 the sizes of these various pieces of equipment
20
A. The primary premix machine was a
21 sigma blade mixer and the size of the sigma
22 blade mixer was about six feet by six feet by
23
A. I believe that it was used in
24 terminal strips and sometimes ina little
25 indicator block inside the telephone
23 six feet indicating
24
Kind of a big cube and inside
25 were two sigma blades that -- that mixed like
7s
RS
MSGR LT A CROC
7 ORD SAE 20 EBA PRRGOET TS ES
RRC TTS
maT
OS
SS SAR
ROR RCTS
Ct
13 Page46 sto 49
PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
123 _ this -- to mix up all the materials
123
Informal discussion held off the
Page 50 1 2
3 record
3
4
Q. And how many --- can I call them
4
5 mixer men
5
6
How many people would be on that
6
7 equipment when it was being mixed
7
8
A. One
8
9
Q. And how much equipment would
9
10 actually be in the mixer that was being mixed
10
11
A. How much equipment
11
12
Q. sorry How much material
12
13
A. About one thousand pounds
13
14
Q. And how long would it take
14
15 generally to run that mixer
15
16
A. About --
16
17
You are asking what the through-
17
18 put of the line was
18
19
Q. Correct
19
20
A. I would say that the throughput
20
21 of the line was -- at that time was probably two
21
22 hundred and fifty pounds per hour
22
23
Q. Okay
23
24
And then after it was mixed
24
25 where -- what type of equipment would -- would
25
Q. Take me to the extruder
What did the material look like
at the end of the meat grinder
A. The material was made --
It was extruded out indicating and cut into pellets so the pellet was the diameter of the hole which was typically like
5/32 of an inch
From an eighth of an inch up -- a little higher so 4/32 5/32 6/32 of an inch in diameter and it wasn't very precise on the length of the pellets but it could be like a quarter inch long or as long as 3/8 of an inch
Q. Ultimately would this material be packaged in some way for sale
A. It would go into -The material would go -- all
these pellets would go in -- through the dryer
into the blender
In the blender the coatings were put on The polyethylene wax was put on and then out of the bottom of the blender the
material was weighed into -- most of the time
cardboard boxes
And if not cardboard boxes it
Page 52 fF
1 the plastic molding compound go to next
2
A. It would be dumped out and screw
3 fed to the extruders
4
Q. And can you just give me an
5 appreciation what the extruders looked like
6 The size of it
7
A. Well the die plate as I said
8 was about ten to eleven inches in diameter
9 indicating
10
Q. Okay
11
A. The length of the extruder was no
12 more than two feet indicating It had a
13 hopper -- a little hopper opening at the back
14 end indicating
15
Material would come through with
16 big screw The screw would push it against
17 the die plate indicating and there was a
18 cutter knife that would -- that would clip off 19 the extrusions just like a meat grinder at the
20 butcher shop
21
Q. How would the material be
22 transferred from the mixer to the extruder
23
A. Sometimes in barrels but most of
24 the time by just a screw logger phonetic
25 would just move the material across the room
Page 51 1 2 3 4 5 6 7 8 9
10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25
would be those fiber drums with the metal -- Page 53 |
metal -- metal bottom ring indicating and the metal top ring
Q. And these drums -Again 1 am just focusing on
containing molding compound These drums -- would they be
labeled in any way Some identifying mark in some way shape or form
A. believe that it would just have the grade name ~~
Rogers Corporation the grade name the weight indicating
Q. Were these gallon drums or
what was the size of them
A. No. They were -- they were --
I'm not sure what the --
We didn't use drums when I
started there I only know drums from how other people maybe sold us raw materials indicating
And then people would say Well we used to use drums but we don't anymore so they were probably like thirty -- gallon
drums
IRS STEAR ESIC
aa sr rere reason aren rons
Cape eperre reese Bs
PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
1
Q. As you sit here today do you
Page 54 1 described -
Page 56 |.
j
2 know either way how this was packaged or your
3 best estimate from the '50 to '70 time period
4
A. In the 60s many cardboard boxes
5 were used
6
Q. Okay
7
A. Whether it was exclusive or not
2
The paper machine is a totally
3 water based system where we are dealing with
4 paper pulp resin and at times an asbestos
5 material so it was always more or less inside
6 the water slurry so there really wasn't any
7 dust
8 can't say
9
Q. Do you know how the molding
10 compound materials were shipped from
8
And the extruded products inside
9 that sigma blade mixer indicating -- there
10 was -- there was water added to make the
11 Manchester Connecticut to a customer
12
A. Common carrier
13
Q. And do you mean --
14
Was there a particular common
15 carrier that you would use if you know
11 material of a consistency indicating and soft 12 enough that when it went through the extruder 13 you could actually make pellets -- pellets out 14 of and not just have dry material go in and 15 dry material kind of like fall out the front
16
A. don't -- I don't think --
16 indicating
17
I don't know and there was no
17
So both processes used a
18 specific contract that Rogers would always use
19 one company
18 considerable amount of water and that's why 19 you had to dry the pellets after you extruded
20
Q. any time period at any part
20 them
21 of the plant that was processing or using
22 asbestos in some way at the Manchester
21
Q. Well my -- my question is this
22 though
23 facility were any measures at any time ever
23
Was any process -- anything ever
24 taken to keep dust down
25
MR SANTOMASSIMO I will object
24 put in place by Rogers Corporation -- to reduce
25 dust at the Manchester facility
1 to the form
2
Could you be -- would you
Page 55 1
2 form
Page 57
,
MR SANTOMASSIMO Objection to
3 rephrase that question
4
MR COMERFORD No I will have
5 the court reporter read it back if she would
6 be kind enough
7
THE STENOGRAPHER Sure
8
Record read
9
Informal discussion held off the
10 record
3
Q. Was any process taken whether it
4 be some industrial hygiene measures
5 ventilators waterdowns masks given to
6 employees
7
Any process at all to reduce dust
8 to employees
9
MR SANTOMASSIMO Objection to
10 form
11
MR SANTOMASSIMO Are you
11
You can answer
12 referring to some particular type of dust
12
A. Sometime -- sometime -- I don't
13
Isis Isis Isis the question -- is the
14 question phrased the way you want it to be
15
MR COMERFORD It is I will
13 exactly know when but at some -- at some point 14 in there Rogers installed dustex phonetic bag 15 houses to remove particulates from the air
16 rephrase it
17
Q. Was there any measures --
16
Q. And what area of the plant was
17 that sir
18
What measures if any were ever
18
A. Well not for the paper machine
19 put in place by Rogers Corporation to reduce
19 Only -- only at that time for the extrusion
20 dust in the workplace
20 department
21
A. Okay
21
Q. Okay
22
MR SANTOMASSIMO Assuming that
22
So the extrusion department --
23 there was dust
1222 some type of device was set up to assist in the
24
A. Yeah you have to take -- keep in
24 removal of particulates in the air
25 mind that both Rogers process lines that I have
25
Is that fair to say
Te Tene ay
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Drew NTT
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"15
Tavira
Pages 54 to 57
PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
1
A. That's true
2
Q. Okay
3
Do you know what decade that was
4 put in place
5
A. No I don't
6
Q. Do you know why that was put in
7 place
8
For what reason
9
A. can I can --
10
I can only make the same kind of
11 guess that a lot of people would make but I
12 don't actually know what anybody discussed
13 about it
14
Q. Well sir was that particulate
15 air removal system -- was that put in before or
16 after you started in 1977
17
A. Before
18
Q. Do you -- can you give me an
19 appreciation how far before
20
How much before you started An
21 hour before
22
A month before A decade before
23
A. Ten to fifteen years before
24
Q. Okay
25
So you think sometime by 19 --
Page 58 1 2 3 4 5 6 7 8 9
10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25
If you know A. I think it was put in to remove
particulates from the air
Page 60 |;
:
Q. Would you agree with me though
that one of the particulates that were
generally were -- that Rogers was concerned
about was asbestos
form MR SANTOMASSIMO Objection to
Q. you know
A. All
All of the particulates taken as a group was what Rogers at that point in time would have been attempting to reduce in the
air
Q. And you would agree that asbestos
would be one of those component particulates
MR SANTOMASSIMO Objection Q. You can answer sir
Would -- would you agree with me that asbestos was one of the --
A. It was part of the formula yeah Q. Okay
And sir we have talked about asbestos being a component part of -- of about
Page 59
123 approximately about 1960 to '65 it was put in
1 twenty percent of the plastic molding
Page 61 |.
123
A. Sometime --
2 compound material that was being manufactured
123
Sometime right in there I would
3 by Rogers from 1950 to about 1970 correct
4 say that the technology was available to do
4 sir
5 what you had to do
6
Q. And were one of the types of
7 particulates what Rogers was trying to reduce
8 or keep down --
9
Did that include asbestos
10
MR SANTOMASSIMO Objection
11
He's already said he wasn't
12 present
13
He didn't know Right
14
MR COMERFORD He did but
15 based -
16
You know this is the corporate
17 representative you have tendered for a
18 deposition and if he doesn't know he doesn't
5
A. Right
6
Q. As you sit here today do you
7 know what types of asbestos fibers were
8 utilized by Rogers in their plastic molding
9 compound material that was sold
10
By types of fibers and I will
11 give you specific examples I mean chrysotile
12 amosite crocidolite
13
That's what I mean by type of
14 fiber just so we are on the same page
15
A. The vast majority was chrysotile
16
Q. don't think I asked
17 percentages but you -- you just jumped ahead a
18 little
19 know but --
20
Q. From your review of documents and
21 your historical review of this case do you --
22
Do you know whether or not this
23 air particulate system was put in place to
24 assist in the removal of asbestos from the air
25 at the Rogers facility
19
So you are saying the great
20 majority was chrysotile but was some
21 crocidolite the African blue fiber also used
22 by Rogers
23
A. I personally don't know of the
24 use of crocidolite prior to about 1975. That's
25 my personal knowledge of crocidolite in the --
erasers
=
Es DORR
set
PRIORITY COURT REPORTING SERVICES 718 983-1234
aaa etme:
16 Page5s8 to 61
Mark DeLassus
1 in the company
Page 62 | from 1960 to 1966
Page 64 f
2
Q. But you would agree with me that
3 Rogers Corporation did sell and distribute a
4 plastic molding compound with the Code No. 462
5 would you agree
6
A. Yes they did
7
Q. And you would agree with me that
8 462 was made up of two types of asbestos
9 fibers
10
Chrysotile and what would be --
11 what would be the other type that made up 462
12
A. Crocidolite
2
Can you tell me
3
A. That exhibit D says that Rogers
4 sold 462 to Diemolding indicating
5
Q. Okay
6
As you sit here today would you
7 agree with me that 462 as far as you know
8 always contained -- as far as you know by .
9 you know I mean your historical review of the
10 documents in your knowledge of being an 11 officer of this corporation that 462 contained
12 two types of asbestos fibers
13
Q. Okay
14
And can you give me an
15 appreciation of 462 what --
16
We will say from 1950 to 1970 as
17 you best you can what percentage of Rogers
13
Chrysotile and crocidolite
14
MR SANTOMASSIMO If you know
15
A. Yeah well I only know --
16
I have only seen the formula for
17 462 for the 70s
18 containing molding compound that was
18
Q. Who here --
19 sold was made up of the 462
20
A. Well first of all my knowledge
21 of the crocidolite was -- was actually in 462
22 was my perception is that the larger
19
Who alive today would have
20 personal knowledge about 462 back in the 50s
21 or 70s alive today
22
A. I don't -- I don't know if there
23 application for 462 started in the mid
24
So prior to that if it was used
23 is anyone alive today that would have that
24 information
25 it was in very -- you know 462 may be --
25
Q. Do you
1 maybe even if it existed back then -- I
2 personally don't know
3
I know that -- I saw it in the
4 deposition but that doesn't mean that I --
S that I can say that I have seen records back
6 there myself
7
And it would have been a very
8 small part of the product line and certainly
9 except for these -- this one application in the
10 70s it would have been --
11
It would have been under one
12 percent
13
Q. Who 11 and sir let's -- let's
14 take this right to the -- the case we have
15 here
16
I understand that you have
17 reviewed DeLassus 1 which are answers to
18 interrogatories given some time ago in a case
19 called Clark
20
And in that case sir can you
21 tell me based on your review of that
22 interrogatory whether 462 was sold to
23 Diemolding during that time period the time
24 period -- and I will be happy to show you the
25 exhibit specific -- it's Exhibit D here 19 --
Page 63 1 2 3 4 5 6 7 8 9
10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25
Have you looked at formulations
or specifications of 462 in the past at any
time
Page 65
:
MR SANTOMASSIMO Could you rephrase -- or read that back please Cheryll
Record read
A. SANTOMASSIMO Thank you
A. Yes
Q. Okay And that's something you would
have done before this case I assume
A. As part of my job for many years Q. Okay
At any time have you ever seen
any formulation for 462 that did not include
crocidolite in any part
A. Formulas for 462 that I sold saw -- did contain crocidolite
Q. Okay Just so we are clear you are not
aware of any formulation at any time that did not include crocidolite
Is that fair to say A. I prefer to word that in positive frame
PRIORITY COURT REPORTING SERVICES 718 983-1234
17 Pages 62 to 65
Mark DeLassus
Page 66
Page 68
-
I can only say what I saw
2
Q. Let's focus on what you saw
1 asbestos and twenty percent was crocidolite
2 asbestos
3
When you saw a formulation for
4 462 did it always include crocidolite as a
3
Does that jell with your memory on
4 the documents you have seen concerning 462 and
5 component part
5 those formulas
6
A. Yes
6
A. That would be approximately
7
Q. If was going to accompany you
7 correct
8 back to the Rogers plant today and I don't
8
Q. And over time -- at any time -
9 think Mr. Santommasimo would welcome that
9 did those percentages of chrysotile versus --
10 would you be able to show me some type of
10 versus crocidolite change in any way
11 specification that said this
11
A. Generally --
12
Is there something that -- a
12
Generally -- in the -- in the
13 drawing a recipe of some type -- some type of
13 time period that I am familiar with only two
14 document that shows that
14 or three percent plus or minus
15
MR SANTOMASSIMO That said
15
Q. Okay
16 what
16
And sir can you tell me if what
17
MR COMERFORD That 462 included
17 companies did Rogers actually order its
18 chrysotile and crocidolite as a component part
18 asbestos from whether it be chrysotile or
19 of the product
19 crocidolite
20
MR SANTOMASSIMO Object to the
20
A. -- don't want to get into
21 form but it's been asked and answered He
21 like the distributors but like the miners or
22 said the formula he has seen pertains to the
22 the -- the manufacturers would have been like
23 1970s only
23 Carey or Cassiar those kinds of companies
24
You are asking him to prove
24
Q. And have got answers to
25 something that goes beyond his knowledge
25 interrogatories here sir and I am going to
1
I object to the form of the
2 question
3
MR COMERFORD I haven't --
4 my -- my question though didn't focus on
S time frame yet
6
am going to break it up if I
7 get an answer but --
8
Q. I guess my question to you is
9 this
10
Are there formulas back at the
11 Rogers facility that indicate what percentage
12 of the product contained chrysotile and what
13 percentage contained crocidolite
14
A. There were formulas but Rogers
15 sold that particular factory
16
Whether Rogers has all the
17 formulas at this stage of the game I don't
18 know
19
Q. If
20
A. I personally have not seen a
21 formula in a couple of years
22
Q. Now the answers to
23 interrogatories this DeLassus , indicate for
24 462 -- and I will be happy to show it to you --
25 that thirty percent was chrysotile
Page 67 1 2 3
4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 222
24 25
Page 69 see if this refreshes your recollection
As I am looking for them I will try to remember but I think one of the distributors if remember correctly was North American Asbestos Corporation
Do you remember that as a company that sold to -- that sold asbestos to MA I'm
sorry -- to Rogers Corporation
Does that name ring a bell to
you MR CASIMIR Can I get that
question read back Record read Informal discussion held off the
record
THE VIDEOGRAPHER Off the record
at 11:25 a.m.
Recess taken at 11:25 a.m. Resumed at 11:39 a.m. THE VIDEOGRAPHER Stand by
are back on the record
We
a.m.
The time is approximately 11:39
Q. Sir John Comerford here again Sir I want to hand you what has
Se ee eee
18 Pages66 to 69
PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
Page 70
1 been marked as DeLassus 3 and this is page 13
1
Q. Okay
Page 72
,
2 of interrogatories that were answered in this
3
case
2
Next question is Associated
3 Mineral Corp. That's listed there Do you see
4
And the question is if the
4 that
5 defendant -- strike that The answer is
5
A. Yes
6 Rogers has purchased asbestos from the
6
Q. Have you ever seen that name
7 following
8
From the following -- I'm sorry
7 before
8
A. don't recall seeing --
9 My Buffalo accent is coming through in the
9
Other than Manville which
10 list for companies
10 is the fourth one I don't consciously
11
Can you look at that am
11 recognize any of the three names that are -- other
12 giving it to you to see if it refreshes your 13 recollection as to who Rogers purchased raw
12 three names that are listed
13
Q. Are you able to as you sit here
14 fiber from
14 today let's say from the 1960 to 1970 time
15
Sir my question is this As you
15 period give me some indication on who the
16 sit here today do those appear to be a portion 17 of the companies that Rogers purchased raw
18 asbestos fiber from
16 principal seller was percentages to each
17
Are you able to do that in any
18 way shape or form
19
MR SANTOMASSIMO Objection to
19
MR SANTOMASSIMO Principal
20 form
20 seller of what
21
Mischaracterizes the witness
21
MR COMERFORD Raw asbestos to
22 earlier testimony
23
MR COMERFORD Yeah I am using
24 this though to test his recollection
25
We will take these one at the
22 Rogers
23
A. The principal --
24
Again some companies were
25 distributors and some companies were
123 time
Page 71
Page 73 |-
1 manufacturers so my information would be as --
123
Q. Sir who is the first company
123 that Rogers listed there
4
Who was the first company that
5 indicates that they purchased raw asbestos
6 fibers from
2
Well whose name was on the
3 plastic -- the paper bag that the asbestos came
4 in don't
S
I don't recall on this list
6 other than Manville -- Manville --
7
A. says North American Asbestos
8 Corp.
9
Q. Now are J- do you know that
10 company
11
Have you ever heard of that
12 company Would -- these are answers to that
13 were given by Rogers in this case
14
A. Yeah --
15
Q. Okay Do you
16
A. My recollection is that I didn't
17 focus on the names of the companies
18
I just focused on there was an
19 asbestos supplier from Chicago
20
Q. Okay but that wasn't my
21 question
22
My question is this Do you --
23 have you ever heard of that company North
323 American Asbestos Corporation
25
A. Actually no
7 name being on the bags
8
Q. Do you know who would have
9 personal information about this sir and
10 specifically the suppliers of the raw asbestos
11 who that person would be
12
A. I-
13
I don't know if anybody is alive
14 who could answer that specific question
15
Q. Do you know how my -- the answers
16 to these interrogatories were arrived at What
17 people were contacted
18
You know how did those answers
19 get there
20
A. I don't know about this one
21 specifically but Mr. Raphaelson generally led 22 the -- the development of the answers to the 23 interrogatories and he interviewed I would
24 say a very small M small group of people two 25 or three to get his answers and
PRIORITY COURT REPORTING SERVICES 718 983-1234
19 Pages 70 to 73
Mark DeLassus
Page 74
Page 76
1
Q. Those two or three people would
2 be whom sir that Mr. Raphaelson would meet
3 with if you know
4
A. Well Dave Heilemann who had
1 on microfiche
2
Q. As you sit here today do you
3 know if they exist
4
A. I don't know where they are or
5 access to some of the records
6
And then there were a couple of
7 people at Manchester that aren't living
8 anymore
5 anything about them
6
Q. Sir when the --
7
When the portion of the Rogers
8 Corporation was sold to this -- I think you
9
Q. And those people that aren't
10 living anymore --
11
Do you know their names
12
A. Walt Hayes
13
Q. Anyone else
14
A. am not sure if Curly Maron is
15 living or not Curly Maron M
9 said Swedish company
10
A. Nodding
11
Q. Do you know what documents if
12 any Rogers maintained we will say for
13 purposes of litigation
14
A. I don't know if Rogers maintained
15 anything they didn't already have in their own
16
I don't know if he is living or
16 hands
17 not
17
Q. And for purposes of litigation
18
Q. When was the last time you spoke
19 with Mr. Maron Christmas party Some kind of
20 retirement function
18 what type of documents if you know any 19 did Rogers maintain for purposes of litigation 20 when this transaction took place
21
A. He -- Mr. Maron is the -- plays
22 the role of the Santa in the Mountain Hilltop
21
A. I don't know that Rogers -- most
22 of their records were retained for financial
23 cabin at the big park in Manchester
24
So he is like the Santa for the
23 and income tax records
24
I don't know that Rogers retained
25 whole area and that's the last time I spoke to
25 anything specifically for purposes of
Page 75
Page 77
1 him and that was about fifteen years ago
2
Q. So my guess about a Christmas
3 party was pretty close
4
A. Pretty close
5
Q. Sir in looking at this list are
6 you able to -- and the names of North American
7 Asbestos Corporation Associated Mineral Corp.
8 Special Materials Inc. Manville --
9
Looking at that list do you know
1 litigation indicating
2
Q. am going to check my notes
3
You indicated that there was a --
4 the sale to this Swedish company took place
5 sometime in 2002
6
Is that correct
7
A. That's correct
8
Q. Now at that point as you sit
9 here today do you know whether there were --
10 which companies if any were suppliers of
11 crocidolite
10 there were any depending asbestos personal 11 injury or wrongful death claims pending against
12
A. I believe the supplier of
13 crocidolite was a Chicago company but again I
14 didn't focus on the name of the company
12 Rogers at the time of that transaction
13
A. They don't generally give me a
14 laundry list of all the cases
15
Q. Okay
16
Sir in one of the answers to
17 interrogatories I reviewed in this case and
18 if I have to I can pull it there is an
19 indication that the sales to Diemolding how
15
I suspect that there might have
16 been one or two but I don't know the names of
17 the parties
18
Q. Are you aware if there's any
19 communications that took place amongst anyone
20 much and when was derived from the review of
21 microfiche
22
Are you generally aware of that
23
A. heard someone say that there
24 were records on microfiche
20 that said okay something along these lines we 21 better gather up these documents for future 22 cases now that we have sold that -- the molding
23 division
24
Any kind of -- any communication
25
I have never seen those records
25 about retention of documents in -- in that way
F508
eo
ES Or OE
RD sd
20 Pages 74 to 77
PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
Page 78
Page 80 |:
1
A. think simply from the
2 standpoint of -- of searching what was
3 house and maybea little segregation just
4 so that it would be easier look for things in
S the future but that's it
6
Q. Sir I also --
7
In reviewing for this case I see
8 that Diemolding manufactured some products 9 themselves -- themselves which they would then
10 sell
1
John I think we are having a
2 hard time how you are using by finished
3 product
4
MR COMERFORD Well let me make
5 it little easier
6
I'll make it a little easier
7
MR SANTOMASSIMO If this
8 helps -
9
MR COMERFORD Right
10
MR SANTOMASSIMO -- tell me if
11
Is that fair to say that
12 contained asbestos
11 am wrong
12
For purposes of Rogers Rogers
13
MR SANTOMASSIMO Sorry John
13 considered its finished product to be molding
14 Could I -- Cheryll could you just read the
15 question back
16
THE STENOGRAPHER Sure
17
Record read
18
MR SANTOMASSIMO If you know
14 compounds
15
That was a raw material to
16 somebody like Diemolding
17
Q. Did Rogers manufacture anything
18 that contained asbestos other than plastic
19
A. The question is not -- not
20 totally clear
21
MR COMERFORD Let me rephrase
22 it
19 molding compound
20
A. Other --
21
Other than the pellets and the
22 paper machine products Rogers did -- to my
23
It was a poor question
24
Q. Did Rogers manufacture finished
25 containing product
23 knowledge did not make any containing
24 production products
25
Q. Sir what about gaskets Did
Page 79
1
A. Rogers or Diemolding
2
Q. Rogers
3
A. Manufacture our products that
4 contained asbestos
5
Q. That were a finished product
6
not- not-
7
am not talking about --
8
A. Finished product
9
Q. Molding compound Actual
10 finished product
11
A. No.
12
Rogers did not make finish -- in
13 the finished product -- in the form of did we
14 mold our -- our pellet products into something
15 molded no
16
Rogers did not do that as a
17 business
18
Q. That wasn't really my question
19
My question though was this
20 and I can have it --
21
Did Rogers manufacture an
22 containing finished product That's
23 my question
24
MR SANTOMASSIMO am going to
25 object to the form
Page 81
|
1 Rogers make any gaskets
2
A. Gaskets are containing
3 products made on a paper machine
4
Q. Okay so we are just having a --
5 okay
6
Just so we are on the same page
7 think we are just having a -- a 8 miscommunication
9
This fiber -- this paper
10 product -- can you give me some uses for it
11 that contained asbestos that was manufactured
12 by Rogers
13
A. Rogers had two facilities the
14 one in Manchester and the one in Rogers Each
15 facility had paper machines
16
The paper machine in Manchester
17 made the product I described before which was 18 fifty by seventy eighth of an inch thick
19 indicating
20
And that was for use in -- as an
21 intermediate in the making of flexographic
22 printing plates
23
The products at the Rogers
24 location were involved in the gasket materials
25
Q. And those gasket materials --
21 Pages 78 to 81
PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
Page 82
123456
Just so we are on the same page
123456 what would they be used for Automotive
123456 industry Pipes
123456
Just give me an idea generally
123456 speaking if you can
123456
A. My expertise to that -- to that
7 particular application is very limited and
8 that -- I would --
9
I would just say that Rogers did
10 have containing gasket materials
11
Q. Did Rogers manufacture those
12 containing gasket materials for other
13 people which would then be relabeled under a
14 different name
15
A. I don't have knowledge of that
16
Q. Do you know what percentage of
17 asbestos were -- was in this gasket material
18 if you know
19
A. don't know
20
Q. Do you know whether chrysotile or
21 crocidolite were used in these gasket
22 materials
23
A. I don't know
24
Q. Is there anyone alive today who
25 would have answers to that information
Page 84 |
1 microfiche is in existence today
2
A. don't know
3
Q. Do you have any knowledge as you
4 sit here today on whether are not some of that
5 microfiche was disposed of at some time
6
Some -- I am looking for any
7 information you have -- may have on retention
8 policies
9
A. don't know of -- I don't know
10 that anything was disposed of
11
Q. Okay
12
So you just don't know either
13 way is that fair to say
14
A. About the microfiche I don't
15 know really -- I don't really know anything
16 other than I was told that there was microfiche
17 at one time
18
Q. And who told that you What
19 person
20
A. I believe it was Dave Heilemann
21
Q. Okay
22
Sir during the 1950s 60s or
23 70s are you aware of any salesmen for Rogers
24 Corporation
25
And by salesmen I will limit it
Page 83
Page 85
1
A. suspect that there might be one
23 or two people yeah
23
Q. And can you give me their names
4 please
5
A. believe that Barry Widegren
12 to this Salesmen for the plastic molding
2 materials
3
A. am am aware of quite a few
4 salesmen
5
Q. Can you give me the names of
6 is
6 those salesmen please
7
Q. Can you spell that
8
A. W
9
Q. Anyone other -- other than that
10 gentleman
11
A. He is the only one that I know
12 of
13
Q. Okay
14
And sir I think we testified
15 earlier -- stop me if I am wrong - that there
16 were some microfiche in Rogers possession
17 years ago which sold -- which indicated where
18 Rogers sold its plastic molding compound to
19
Is that fair
7
A. George --
8
You want the ones that are alive
9 or the ones that are M what
10
Q. Just give me the names first and
11 why don't we break it up between the ones who
12 are with us and the ones who have left us
13
A. Rogers had a -- what was what --
14 what was called a national sales group so that
15 there might have been salespeople that spent 16 less than five percent of their time selling 17 molding compounds twenty percent of their time 18 selling gaskets fifty percent of their time 19 selling electric circuits or something like
20
A. I said that I heard about
21 microfiche
22
I never saw them and I actually
23 don't know what was on them
24
Q. Do you have any knowledge --
25 personal knowledge -- on whether that
20 that so --
21
And Rogers probably had two
22 hundred salespeople at least in -- in that
23 time period so you -- you want ones that were
24 like most - majority of their time was spent
25 selling molding compounds or what
Tana
ee
a
ET COPE
Cre
3 Tt POPE NOT SS MA
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TTT ae
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22Pag82eto s85
PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
Page 86
Page 88 |
I
Q. Why don't you give me the ones
2 that you believe had some connection to
3 Diemolding if any
4
And by Diemolding I will say
5 the Northeast for plastic molding compounds
6 Is that fair
7
A. Okay
8
Q. Thank you
9
A. In the time period the 50s to
10 the 70s I believe there was one sales
11 engineer George Smith
12
At the end of the 70s there
13 would have been a second one John Witkewicz
14
Q. Can you spell that last name
15
A. W
16
Q. Anyone else other than Mr. Smith
17 and the second gentleman
18
A. In the time period no
19
Q. I saw an indication that
20 Mr. Smith has passed away
21
Is that fair to say
22
A. That's what I understand
23
Q. What about the second gentleman
24 he still with us
25
A. I believe he is alive
1
Okay and did you actually see
2 him that day and talk to him a little bit
3
A. Yes
4
Q. Okay
S
Did he give you any indication
6 what he is doing today Is he -- is he
7 completely retired
8
Is he working for another
9 company Do you know as you sit here today
10
A. I don't know what he is doing
11
Q. George Smith --
12
Do you know if he has ever given
13 a deposition what you -- you are going through
14 today
15
A. have no idea
16
Q. Did you ever discuss any sales
17 with Mr. Smith
18
A. No Response
19
MR COMERFORD Jim John
20 Comerford
2223
Are you still there
2223
MR WHITCOMB Yeah
2223
MR COMERFORD You are just
24 making some noise there
2223
Sounds like --
Page 87
Page 89
1
Q. And do you know what decades he
1
Informal discussion held off the
2 worked for Diemolding
3
A. These are the Rogers salespeople
4
Q. sorry I know That was a
5 really bad question
6
Do you know what decades the
7 second gentleman worked for Rogers
8
A. The tail end of the 70s and the
2 record
3
Q. Sir did you ever discuss with
4 Mr. Smith about where he sold to or any of
S his -- his work as a salesman
6
A. To limited extent
7
He left Rogers in about 1980 and
8 joined Rogers in about 1977
9 80s
9
Q. Do you --
10
Q. Okay
11
Do you know where the second
12 gentleman lives today
13
What area of the country
14
A. Connecticut
10
Do you remember ever having any
11 conversations about Diemolding with him
12
A. No.
13
Q. Sir I want to ask you about
14 where or not any tests were ever done by Rogers
15
Q. When was the last time you saw
16 him or spoke to him if you know
17
A. Five years ago
15 on asbestos through the research and
16 development division
17
Are you familiar with any being
18
Q. And in what capacity did you see
19 him five years ago
20
A. He just walked in the door of
21 the -- the factory and wanted to chitchat with
22 people because he was retired and had nothing
23 better to do
18 done
19
A. Any tests on asbestos
20
Q. Correct by research and
21 development
22
A. don't think Rogers tested any
223 asbestos
24
Q. Kind of sounds like that movie
25 Schmidt I can't think of the name of it
223
Q. Just give me a minute sir
25
Sir am going to refer to
23
Page86sto 89
PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
Page 90
Page 92 f
1 what's been marked as Plaintiff's 3 -- I'm
2 sorry -- been marked as DeLassus 3
3
It's an answer to an
4 interrogatory
5
What I am going to do sir is
6 read the answer to interrogatory out loud and
7 let you have as much time as you need to take
8 to review it
9
The question was asked about any
10 research or studies performed by Rogers on 11 containing materials and the answer
12 is this
1 record
2
A. When you incorporate the asbestos
3 to phenolic resin and the minerals into a 4 molding compound Rogers runs tests on that
5
I just want to be clear that you
6 were in to two different areas and that's why
7 you got the answer you got
8
Q. Well you would agree with me
9 sir that some of the plastic molding compounds
10 that Rogers made were more than half asbestos
11 Isn't that true sir
12
MR SANTOMASSIMO Objection to
13
Rogers does have a research and
14 development department where some testing of
15 its products has taken place
16
Moreover on one occasion in
17 1978 the test was performed to determine the 18 need for placement of OSHA warning labels on
19 Rogers products
20
These tests were conducted under
21 extreme conditions and did not reflect the use
22 for which the product was designed
23
I am going to hand this to you
24 This is page 20 of Exhibit 3 and I just want
25 ask you some questions about that test
13 form
14
Q. Well let's talk about 462. What
15 percentage of asbestos was in 462
16
Two percent One percent What
17 percent
18
A. Somewhere in the neighborhood of
19 fifty percent
20
Q. Okay
21
Well why don't I just call it
22 containing materials Would that
23 be -- would that
24
Would that be fair to say
25
A. Yeah that's fine
Page 91
1
Do you have any personal
2 knowledge about the answer that was given
3 there
4
If you need to take time to read
5 it go ahead
6
A. am aware .
7
I am aware of the -- what's on
8 this piece of paper
9
Your first question to me was did
10 Rogers run any tests on asbestos and I said
11 no and that's true --
12
Q. Okay
13
A. 11 but now this page relates to
14 did Rogers test containing molding
15 compound
16
Because that's a different issue
17
Q. Why is that a different issue
18 Help me
19
A. Well asbestos is this fibrous
20 fiber that you buy from the raw materials
21 ~~
22 23 24 25
supplier Did Rogers test that No but
when Rogers incorporates it with phenolic resin and other minerals into a molding compound ---
Informal discussion held off the
Page 93 |-
1
Q. Okay
2
Backback Backback Backback to my question Did
3 Rogers ever do any -- any testing on any 4 containing materials
5
A. Yes
6
Q. And why don't you walk me through
7 the --
8
First of all tell me why a test
9 was performed if you know
10
A. Did Rogers run any tests
11
Rogers ran hundreds of tests on
12 every batch of material that was made We did
13 impact testing
14
We did flex testing We did
15 tensile testing We did all kinds of
16 electrical tests environmental tests
17
Q. Well I want to take you back to
18 what's reported in the interrogatory
19
A. Okay
20
This -- this page in
21 indicating
22
Q. That specific test --
23
A. Okay
24
Q. and first of all you were at
25 the company by that time
PRIORITY COURT REPORTING SERVICES 718 983-1234
24 Pages 90 to 93
Mark DeLassus
123
Correct
123
A. That's correct
123
Q. And can you tell the jury why you
4 did test
tun
What was the -- what was the
6 purpose if you know
7
A. I personally do not know why the
8 test was run but I was present when the test
9 was
10
Q. And what was being tested if you
11 can tell me
12
A. For whatever reasons we molded
13 half by half by halbfy five inch long bars
14 indicating
15
So it's a half by half five
16 inches long indicating just a test specimen
17 and gave these to a technician
18
The technician took these bars
19 and just one bar after the other simply
20 disintegrated the bar on a grinding wheel
21 indicating
22
You know a punch top grinding
23 wheel just disintegrated bar after bar
24
Q. But what was actually being
25 tested
Page 94 1 2 3 4 5
6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25
Q. Would you agree -- and I think I have the regulation here with me -- that it was passed during the Nixon administration
Sometime during the early 70s Do you know that as you sit here today
A. No I don't know that Q. Do you know if OSHA was in place before you stepped foot into Rogers
The actual regulation itself
A. No I don't
Q. Okay But you do have some general
regulation -- some general understanding that
it was in the 70s
Is that fair to say A. Yeah yes Q. And you just don't know if it
was --
You don't know either way if
early -- it was early middle or late 70s
A. don't know
Q. Okay
Now do you know if this test was -- was being performed by Rogers to determine the need if any of placing OSHA
Page 96 f
1
Ambient air Dust counts What
2 was being analyzed if you know
3
A. am not an expert in the area
4 but do --
5
I do believe that the employee
6 running the test had one of those little
7 suction device gizmos that the environmental
8 people sometimes have employees wear
9
Q. And --
10
Do you actually know what the
11 results of those tests were
Page 95
1 pneumoconiosis warnings on its materials
2
A. never heard that term before
Page 97 :
3
Q. will get rid of that fancy
4 pneumoconiosis word
S
Do you know if the test was being
6 done to determine whether or not an OSHA
7 warning needed to be placed on packaging and
8 container material of the plastic molding
9 compound materials
10
A. I think the first part of my
11 answer was I did not know exactly the purpose
12
A. don't
13
I -- I don't recall what the
14 results of the tests were
12 for us doing the test
13
But my title was the development
14 chemist and a technician actually did the
15
I may have been shown the report
16 one time but it wasn't explained to me and
17 I don't know if the tests themselves really --
18 what they applied to
19
Q. Let me ask you this
20
You are familiar with OSHA coming
21 into existence sometime around 1972
15 grinding
16
Q. But when you saw these testing
17 you seem like kind of a curious guy
18
Did you say What's going on
19 here Why are we doing this Do you
20 remember --
21
MR SANTOMASSIMO Objection to
22
A. I don't know the time frame
23 24
but -- you know When map I was aware of them -
25 you know by the late 70s sure
22 form
222
Q. Do you remember having any of
24 those sort of questions
25
A. It didn't take all that long to
PRIORITY COURT REPORTING SERVICES 718 983-1234
25 Pages 94 to 97
Mark DeLassus
Page 98
123 run the test
123
It was kind of like perfunctory
123 Just -- just do it
4
Q. Are you familiar with the term
5 threshold limit value or permissible
6 exposure limits commonly known as TLV and
7 PEL
8
A. now yes
9
Q. Okay
10
Do you know if that test was
11 being done to determine if what the threshold
12 limit value or the permissible exposure level
13 was violated by the grinding that this
14 technician was doing
15
A. I don't - I didn't know that at
16 17 18 19 20 21 22 23 24 25
_
that time
I didn't know the -- I didn't even know what the TEL PEV was I didn't know
what those terms meant at that time and obviously I might not even know now but I am aware that those -- those things exist
Q. When the gentleman was doing this grinding did he himself take any
respiratory -Did he take any precautions like
Page 100 F
t
Q. And do you know where he lives or
2 resides
3
A. No I do not
4
Q. Is he still with the company
5
A. No he is not
6
Q. When was the last time you saw
7 Mr. Lee
8
A. About a year ago
9
Q. In what capacity did you see him
10 a year ago
11
A. Just in the hallway
12
Q. Okay
13
Was he visiting like the other
14 gentleman
15
A. No. He was still an employee
16
Q. When he left the company in about
17 a year or so in what capacity did he leave
18 What was his title
19
A. don't know his title but he
20 was in the -- the safety and environmental
21 area
22
Q. result of this test being
23 done were any changes implemented by Rogers
24 if you know
25
MR SANTOMASSIMO Objection to
Page 99
1 wearing a dust mask respirator or SCUBA Do
2 you know
3
A. As was a requirement in the
4 laboratory for handling any dusty material he
5 wore a paper mask
6
Q. And do you know -- and that takes
7 me
8
Well focusing still on this
9 test do you know if any documents memorandum
10 were 11 were -- was drafted or created as a
11 result of this technician doing this test
12
A. am -- am pretty sure that
13 there was a report written
14
I said I think that I saw it but
15 don't remember exactly what it said and I am
16 not really sure what its conclusions were
17
Q. Who -- who was the individual
18 doing the test
19
The actual report Who authored
20 it
21
A. Who authored the report
22
Q. Yes
23
A. As I suspected it was Bob Lee
24
Q. Is Mr. Lee still with us
25
A. He is still alive yes
Page 101
1 form
2
Q. Any policies modified in any way
3 shape or form if you know
4
A. There were no changes to the
5 manufacturing equipment or the laboratory 6 equipment on the basis of that -- that -- of
7 that testing
8
Q. Do you know what the conclusions
9 were if -- as you sit here today
10
A. You asked me that already
11
Q. I'm sorry
12
A. said I don't know
13
Q. I'm sorry
14
You mentioned earlier about a
15 requirement of wearing a dust mask in the
16 laboratory
17
I just want to make sure I
18 understood that correctly
19
Did Rogers at any time have any
20 policies about any of its employees wearing
21 masks or respirators
22
A. There was no -- in R it was --
23
I don't know if it was a policy
24 or not but it was kind ofa rule that
25 Rogers -- that if you worked -- were working
RES
OSS
TS SN SET TE TORS "26
amr Pages98 to ee : nee Geen ee Fg coy rerere SEITE SEN TSSFo ANTEATER
)
PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
Page 102
Page 104 fF
1 with powdered materials that had the potential 2 of becoming airborne that you should wear the
3 paper mask
4
Now we can get into all of this
5 NIOSH this and that what these paper masks
1 what started in about 1990
2
Q. Who if anyone from Rogers would
3 interface with the union at any time
4
A. Generally --
5
Generally -- well interface with
6 are but it was just -- in my view it was just
7 white paper mask indicating
8
And I - I don't know what the
6 the union
7
Everyone would interface with
8 union employees but you mean like as a
9 rule -- what the -- there's like a union kind 10 of rule relative to -- to masks was and I
9 committee meeting or something
10
Q. Would field any complaints by the
11 don't think that it changed on the basis of
12 this test
11 union
12
A. In general it would be the
13
Q. Do you know what year or time
13 division president the operations
14 period masks were recommended by Rogers to its
15 employees
16
A. In & they were in existence
14 manager and maybe a manufacturing manager
15
Q. Can you give me the names of
16 those individuals during the 60s or 70s that
17 when I arrived
18
Q. Do you have any knowledge of any
17 ran those various departments for Rogers
18
A. Walt Hayes was the division
19 union complaints made or requests made by the 20 union for better respiratory protection for the
19 president
20
Curly Maron was the operations
21 union work force at Rogers
22
A. That's a complicated question
21 manager or the plant manager
22
Q. Anyone else you can think of
23 but generally speaking it was not a request to
23 during that time period
24 give us like the rubber masks or give us SCUBA
24
A. I don't know --
25 gear as you described it before
25
I don't know how -- what 13
:
Page 103
Page 105 |
'
N-
There was no requests like that
N- I think the requests were more on the order
3 of -- you know
4
There was maybe some little extra
5 dust there Maybe can you turn up the speed
6 of the dust collector or something
7
Q. Okay
8
Was there ever a union representative
9 that was in charge of health and safety A
superintendent for the union if you -
During the 60s 70s or 80s
if you know A. I don't think that the union was
1 whether some of these names ever met with the
2 union
3
Q. We heard some testimony last week
4 from Mr. Donald Dew phonetic who was a
5 former president of Diemolding
6
Have you ever had any
7 communications or discussions with him
8
A. have met Don Dew Sr. a couple
E
9 of times for fifteen twenty minutes each
10
Q. And when and for what for did you
11 meet with him
12
A.
It was ww
13
We were trying to initiate a
that organized to have that specific a -- a that specific of a function
Q. Was there a voice of the union
that you remember
Someone who was a constant -- I
will strike that
14 division -- a phenolic division of the Society
15 of the Plastics Industry the SPI
16
Q. And were you seeking him as a
17 potential member of that association
18
A. I think we were all seeking each
19 other
Is -- was there a voice of the
20
Q. Okay
union or a particular person that ever made
complaints that you can think of concerning
dust levels
A. My involvement with the union
took -- to the level of knowing who was saying
21
A. It wasn't a Rogers
22 initiative
23
Q. Who else was part of that
24 organization or that potential association
25 Who else did you seek to join the club
TTA ARTE SCTE ESTELLE SATCERES 2
... ...
... LS 9
27 Pages 102 105 RO OE GST OTTTO at ZAESTO SAR OSES PREIS
OEE
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PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
Page 106
Page 108 |.
123
A. Most of the compounders and
:
1 tests were performed at Rogers regarding
123 many -- and as many of the custom molders as
2 industrial hygiene
123 would join
3
If you -- do you know what I mean
4
Q. Okay
4 by industrial hygiene
S
Have you ever been to the
S
A. Yeah am familiar what -- with
6 Diemolding facility in Canastota New York
6 what you mean
7
A. Yes have been there
7
Q. Any air testing at all in the
8
When
9
A. Probably 19 -- you are asking the
8 plant
9
Any type of industrial tests or
10 earliest time
10 studies done at the plant at any time
11
Q. Please
11
A. I would like to change the term
12
A. About 19 -- 1979
12 from test to sample
13
Q. For what reason
13
Q. Sure
14
A. Molding trials on products for
14
A. I think Rogers made -- took
15 new projects
15 samples and then sent our samples someplace
16
Q. And I was remiss not asking you
16 else for testing
17 this before you earlier
17
Q. And what were they sending these
18
Before I forget with your
18 samples for
19 educational background what is -- are you a
19
Let me 11 what were these samples
20 chemist by nature
20 of I will say What was it of The plastic
21
A. Do you want the whole thing
21 molding compound or was it ambient air What
22
Q. you can
22 was being sampled
23
A. have a BS in chemistry You
23
A. Well either -- in that group
24 just want the -- the -
24 either test -- tested ambient air or like
25
Q. Please and if you can tell me
25 effluence --
Page 107
Page 109
123 the school and the approximate year you
2 graduated I would appreciate it
123
A. Okay
4
BS in chemistry from Valparaiso
56 phonetic University in Indiana 1971
6
An MBA from Northwestern
7 University in Evanston Illinois 1979 and a JD
8 of the University of Connecticut
9
I think it was 1998 --
1
Q. Okay
2
A. -- which would be like exhaust
3 air or exhaust water
4
Q. Exhaust from what sir
5
A. From --
6
Q. From what machine I guess is my
7 question
8
A. Well you have a dust collector
9 and you have to make sure the dust collector is
10
Q. I'm sorry --
11
A. MM or 1999
12
Q. am sorry to hear about the
13 latter degree but --
14
am kidding
15 *
MR COMERFORD At this time I
10 catching the particulate indicating and not
11 just dumping it out into the parking lot
12
Q. Okay
13
Do you know what year these dust
14 collectors were put in at Rogers
15
A. I don't know the first one but
16 just want to request from Rogers the test that
17 was done near around 1978 that we went over
16 by the time 1977 rolled around there was about
17 fourteen of them
18 earlier
19
I would ask the court reporter if
20 she can put that at the end of the transcript
21 and I will send a formal question to
22 Mr. Santommasimo for that specific document
23
Q. Sir as you sit here today do
24 you know other than what we have discussed
25 under the Interrogatory No. 17 if any specific
18
Q. And these dust collectors about
19 fourteen of them --
20
Were tests done routinely to make
21 sure they were removing dust from the air
22
A. Yes
222
Q. Okay
222
And can you just give me an
25 appreciation of how often that would be --
verepeeeaee
28 Pages 106 to 109
PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
7
those tests would be done
Page 110
1 Corporation retained a certified industrial
Page 112
E
234 A. I don't believe that in general was done in an entirely proactive way but it's not like you tested every -- one every week one
hygienist by the name of Clyde Porter who it appears worked for Rogers from 1980 to 1986
Do you recognize that name
4 every month But there was perhaps some
234 schedule to the testing and then it would be tested if there was an obvious malfunctioning
that it just wasn't pulling -- pulling the --
It wasn't sucking right
A. Yes do
10 Q. And do you recognize -- or do you believe that he was a certified industrial
hygienist Well what do you remember his
job title being is probably a better question
11 indicating and you would have to make sure that there -- try to diagnose what the problem
1 was
A. I know that --
I know that he acted as one for
:
Rogers Whether he was certified or not I do
i
:
12 13 Q. When there was a malfunctioning
not know
12 whatever it may be and I think you used the
Q. And is there --
word obvious one what would be the
Are there any circumstances which
14 consequences
17 17 Visible dust in the air Dust in
caused Rogers Corporation to retain an 18 industrial hygienist back in 1980
19 20 19 the parking lot Just give me an appreciation
19
20 of what of these obvious consequences would be
20
Do you know why it was done A. I think it was just done in the
21
A. There would be little backup at
22 a the -- at the hood that the air became more --
2323 maybe became cloudy and the operator would say
24 There is something wrong with the dust
2525 collector
21 normal course
22
I don't think that he was any
323323 different than other people Q. Let me ask you this
32323
Do you know if an industrial
Page 111
Q. Did OSHA ever come in at any time
and do any testing at the Rogers facility as
far as you know A. I don't believe that OSHA was
ever at Rogers in the -- in the 50s 60s
70s or 80s
Q. Did OSHA -- I'm sorry Did any state monitoring
outfit -- any governmental agency -- ever come
2 in and do air sampling at Rogers for any
10 reason
12
A. I don't believe so
13 Informal discussion held off the record THE VIDEOGRAPHER Off the
116 6 record 12:21 p.m. Recess taken at 12:21 p.m. Resumed at 12:30 p.m. THE VIDEOGRAPHER We're back on
the record
21 21
The time is approximately 12:30
2322
p.m.
Q.
Sir I see --
I see in answers to
2525 interrogatories that in 1980 Rogers
hygienist was in the employment of Rogers
before 1980
Page 13 F
:
A. I would have thought there was one but why I don't actually know for sure
Q. Okay
As far as you know -~ was
Mr. Porter as far as you know the first
industrial hygienist retained by Rogers
A. don't know
Q. Was there a particular function as an industrial hygienist that Mr. Porter had
at Rogers A particular area of focus
A. He would have been involved in
air sampling butI don't know -- you know
much of his job he spent doing that
Q. And I see he left in 1986
according to the answers to interrogatories
Was there a reason he left in
how
1986
16 A. I don't know I am assuming that it was a
personal reason
Q. But you don't know what the
reasons were as you sit here today
ace a eta
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29 Pages 110 to 113 113
PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
Page 114
Page 116
12
A. No.
l for
2
Q. Did you ever discuss any of his
3 air sampling tests that was performed by
4 Mr. Porter
5
You personally
6
A. No.
7
Q. At any time do you remember him
8 reporting in some way shape or form that
9 there was a violation of exposure limits for
10 asbestos during any time that he worked at
11 Rogers
12
A. am not aware of it
13
Q. Are you aware of any industrial
14 hygienists employed by Rogers at any time ever
15 reporting a violation of a threshold limit
16 value or a permissible exposure limit
17
A. not aware ofit
18
Q. see Mr. Porter started in 1980
19 and left around 1986 according to the answers
20 to interrogatories
21
Was there a time when Rogers made
22 decision to no longer sell or have asbestos
23 as component part in its plastic molding
24 compound material
25
I am looking for a year if you
2
What type of industry
3
A. Electric motor commutators
4
Q. And do you know who the biggest
5 customer of yours was for that product -- that
6 particular type of product
7
A. Yes do
8
Q. Who Which one
9
A. Ford Motor Company
10
Q. Okay
11
Sir have you ever known someone
12 who suffered from an asbestos disease
13 whether it be asbestosis or mesothelioma You
14 yourself
15
MR SANTOMASSIMO Objection
16
Whatever relevance it has I'm not
17 sure but --
18
MR COMERFORD Well if he had a
19 brother who died of mesothelioma forty years
20 ago that might go to notice
21
My question to you is this
22
Q. Have you ever met or known
23 someone whether it be a neighbor a friend a
24 colleague someone at church anyone who told
25 you " have an asbestos disease
~~
can
Page 115 123
A. Yes
Page 117 |.
:
~~
A. There were different answers for
3 different product lines
4
Q. am just looking for the last
5 time Rogers sold any product that had asbestos
6 in
123
Q. Who
123
A. Name escapes me now It is -- it
4 was an employee of Rogers --
5
Q. Okay I'm sorry to hear that
6
A. Corporation I can't think
7
A. The last --
7 the name
8
The last 13 the last extrude
8
Q. What decade was it when this
9 product was probably 1985
10
Q. As you sit here today do you
11 know when the last time Rogers incorporated the
12 African blue crocidolite in one of its
9 person said to you I have an asbestos 10 disease
11
Was it two years ago Twenty
12 years ago Your best estimate
13 products
14
A. 1
13
A. Between two and five years ago
14
Q. Okay and do you know if it was a
15
Plus or minus a year I think it
16 was probably like 1979
17
Q. Going back to the product -- the
18 last extruded product that contained asbestos
19 I think you said was 1985 what was the -- the
20 code number for that product or code numbers
21 there's more than one product that contains
22 asbestos
15 malignancy a cancer Was it a mesothelioma
16 Asbestosis
17
Do you know
18
A. I don't know the diagnosis other
19 than it was a problem with the lining -- the
20 pleura or the outside of his lung
21
Q. Okay
22
Do you know if it was cancer or
23
A. am pretty sure that was our
23 not
:
24 X476
24
A. I don't know that
25
Q. And do you know what 476 was used
25
Q. Is that gentleman still living
Pana acing 1fas ar RMS st
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30 Page11s4 to 117
PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
Page 118
Page 120 |-
1 today if you know
123
A. No he is not
1 from that company to Rogers We will
2 transition - transition it so that there will
123
Q. Okay
4
I think you testified you -- you
5 don't know his name is that fair to say or
3 be no asbestos in those products
4
Q. And how long did it take Rogers
5 do that transition once you joined them
6 you don't remember it as you sit here today
7
A. know it now
6
A. Rogers never made the
7 asbestos product of that product line
8
Q. What is it
9
A. just remembered it His name
10 was Bill Lisk
8
Q. And when you learned this
9 information back in 1977 did they -- I mean
10 what was conveyed to you
11
Q. Okay
12
And what job title did he have
13 at -- at Diemolding -- I'm sorry at Rogers
11
MR SANTOMASSIMO Can you read
12 that back Cheryll please
13
THE STENOGRAPHER Sure
14 What was his position
15
A. He worked for Rogers for about
14
Record read
15
MR SANTOMASSIMO By whom
16 forty years
17
I suspect that he had eight or
18 nine different jobs in the -- in the company
19 during that time period so he probably --
20 the -
16 By
17
Q. assume someone from Rogers told
18 you that this -- well let me back up
19
This line -- what was this line
20 for that Rogers was going to take over and make
21
The way he was doing it is he
22 worked about five years in approximately eight
21 asbestos
22
What was the line of material
23 different positions
24
Q. And sir other than him did you
25 ever know anyone else with an asbestos
23
A. It was making a polyester
24 product
25
Not -- not a phenolic
Page 119
1 disease
2
A. am aware of a couple other
3 people at the company but -- you know did
4-
5
Did I actually ever -- was it
6 ever actually said to me what kind of problems 7 that they had officially -- in an official
8 thing I didn't know
9
I only heard it as a rumor
10 amongst employees
11
Q. So when it -- did it come to your
12 knowledge your personal knowledge yourself
13 that there might be a potential health hazard
14 associated with asbestos
15
A. 1977
16
Q. And --
17
A. 1977
18
Q. And can you tell me how you
19 learned that
20
A. I When was working at Acme Resin
21 which was part of CPC International and Rogers
22 bought this little piece of this company
23 indicating we were making a product that
24 contained asbestos
25
Rogers said in the transition
Page 121
1 product
2
Q. And can you just give me some
3 idea what type of product it was
4
Commercial use In the home
5 What was it
6
A. It was an industrial grade high
7 temperature plastic
8
Q. Okay
9
But if you can help me for --
10 for == electrical switches automotive I am
11 just trying to understand
12
A. Almost exclusively for
13 connectors
14
Q. Connectors for -
15
A. Electronic connectors
16
Q. Okay
17
And did someone from Rogers back
18 in 1977 have this conversation with you about
19 the potential health hazards of asbestos
20
A. It wasn't a discussion about
21 health hazards of asbestos
22
It was M was a discussion about
23 a project at Rogers to eliminate asbestos 24 from these products because of a potential 25 health hazard but I did not have a detailed
"31 i
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PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
Page 122
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1 discussion about the health hazards of
1 p.m. February 24th 2004 and this will begin
2 asbestos
2 Videotape No. 2 of this recording
3
Q. Who -- who hired you back in
4 1977
5
A. The person who actually made the
6 job offer was Dick Barry
7
Q. Is he still alive
8
A. No he is not
9
Q. Okay
10
And when he hired you was it
11 discussed that one of the things you would be
12 doing is assisting in this line that was going
13 to be asbestos
3
Record read
4
Q. Well let me tell you sir --
5
Do you know why as you sit here
6 today Rogers made a determination to create an
7 asbestos product line
8
A. think that Rogers understood --
9 I don't recall who told it to me
10
I don't know how they arrived at
11 the conclusion but they just understood that
12 by -- right at that time that asbestos had 13 come on the scene so to say as something that
14
Or is that something you learned
15 about after you joined the company
16
A. I think it was after
14 an industrial company if you had an opportunity 15 to get into a different product it would -16 that there was a opportunity to do that
17
Q. Okay
18
And can you just tell me how much
19 after it was
17
Q. Were health reasons or potential
18 health hazards one of those reasons do you
19 know was that ever mentioned in this
20
A few months a few weeks
21
A. Couple of months
22
Q. And he brings you into the
23 office and he -- he tells you this line is
24 going to be asbestos correct
25
A. Well he hired me but there was
20 conversation
;
21
A. I think at -- in 1977 that there
P
22 were and am not sure to say if it was 23 studies or conclusions or what but there was
24 media attention on asbestos
25
Q. Do you remember ever hearing that
Page 123
Page 125
123 -- had a manager in between
123
Q. Who was that
123
A. Linwood Walters phonetic
1 asbestos might have some connection with
2 cancer
3
A. Somewhere in that '77 time frame
4
Q. Is that person still alive
5
A. No he is not
6
Q. Okay
7
Well you are a real historian
8 here
4 yeah
5
Q. Okay
6
Did there come a time that you
7 became aware of something called mesothelioma
8
A. Sometime maybe a little later
9
Was it your understanding that
9 than that
10 this product was going to be an asbestos free
11 because of --
12
MR COMERFORD I guess we need
13 to change the tape I don't have much more
14 though
15
THE VIDEOGRAPHER You can finish
10
Q. Okay
11
A. 179
12
Q. Sir have asked you about
13 Diemolding and your visits to that facility
14
Did -- are you familiar with any
15 other companies -- we will say during the
16 the sentence
16 1960s wwwwwwww that manufactured containing
17
MR COMERFORD Go ahead
17 molding compounds
18
MR SANTOMASSIMO We are off the
18
During the 1960s
19 record at approximately 12:41 p.m. February 20 24th 2004
19
A. There are quite a few
20
Q. And can you give me the names of
21
Informal discussion held off the
21 those other companies
2222 record
22
2222
THE VIDEOGRAPHER We back on = | 23
2222 the record
323
MR CASIMIR Objection MS WOOD Objection to form
MR COMERFORD There was an
2222
The time is approximately 12:43
25 objection
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NTPC
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PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
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i
123
am just going to ask the basis
2 of your objection
123
MR CASIMIR Basis of knowledge
4
He was researching Rogers
5 Company I don't know if he was researching
6 the entire industry
7
That's all
1 compound in 1970 and Rogers produced a very
2 small amount compared to that total
3
But because we were a specialty
4 company and these -- and these -- those four
5 companies that I mentioned --
6
They were much larger than Rogers
7 in the supply of phenolic molding compounds
8
MR SANTOMASSIMO Cheryll could
8
Q. SPI just so we are clear what
9 you read back the original question just to
10 make sure how it was asked
9 does that stand for
10
A. Society of the Plastics Industry
11
THE STENOGRAPHER Sure
11
Q. So these companies you just
12
MR SANTOMASSIMO Sorry John
12 named -T we will take them one at a time
13
Informal discussion held off the
13
Durez Did you ever visit their
14 record
14 site or their plant at any time
15
Record read
15
A. never visited -- never visited
'
16
MR SANTOMASSIMO Okay Thanks
16 Durez
f
17
A. The -- the biggest compounders of
17
Q. Did you visit any of the sites or
-
18 phenolic molding compounds were Durez Plenko
18 any plant locations for -- and I will go
19 phonetic GE and Union Carbide
19 through the list you gave
;
20
And then the smaller ones that
20
Durez GE Bakelite
:
21 were into the specialty areas were Fibright
21
MR CASIMIR Objection to form
22 phonetic and Rogers
23
There was a couple of really
22
Q. Oh actually you said Union
23 Carbide Let me ask you this
24 small regional companies but that's about
25 it
24
Is there any connection between
25 Union Carbide Corporation and the Bakelite
Page 127
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1
Q. And sir what is the basis of
2 your knowledge that those other companies --
3 General Electric Union Carbide Durez and
4 Plenko -- were sort of players in the plastic
5 molding compound industry
6
Why do you believe that
7
MR CASIMIR Objection to form
8
Q. You can answer
9
A. In the --
12 Corporation if you know
12
A. am not I am not totally sure
3 of that connection but I did visit one --
4 one -- one -- one factory of one of those --
5 of -- of general purpose phenolic compounder
6
Q. And what company was that
7
A. That was Bakelite Thermalset
8 Limited in Canada
9
Q. And what year approximately
10
In the course of formation of
10 what year was that
11 that SPI phenolic molding division there --
12 the SPI collected the information from the
11
A. I visited them probably in '83
12 184
13 industry participants and published the -14 like the grand total numbers for the industry
15 for phenolic molding compounds
16
And since that number that I had
17 seen from the -- like 1970 -- I saw it years
13
Q. And for what reason did you visit
14 them in that time period
15
A. That was a -- what was the
16 question
17
Q. For -- why did you visit that
18 after it was published but industry numbers
19 were available and I saw them at an SPI
20 meeting
21
SPI didn't exist in 1970 for that
22 purpose but they had the numbers from that
23 time period was that L
24
There was approximately four
25 hundred million pounds of phenolic molding
18 facility
19
A. In that time period Rogers was
20 anticipating a potential application which was 21 larger than the capacity of our plant to 22 produce and Bakelite Thermalsets Limited I am
23 pretty sure was no longer running
24
But their plant was in existence
25 so we went up there to see if we could make use
33 Pages 126 to 129
PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
Page 130
12375 of their equipment to make our product and
12375 -- you know
12375
It was an enormous place The
4 building was six or seven stories tall and the 5 equipment was three or four times the size of
6 our equipment
7
Q. Do you know sir that this
8 Bakelite facility that you visited -- if that
9 was owned by any corporation
10
A. think that it passed through
11 the hands of a couple of different
12 corporations and I -- and I --
13
Since I am not clear I'd just as
14 soon not answer that directly
15
Q. Other than the --
16
Other than that site did you
17 visit any other of these plastic molding
18 compound sites
19
A. Not -- not inside but -- you
20 know
21
Like on the street just like
22 kind of take a look at how big their building
23 was
24
Q. So you can get an appreciation of
25 how big the competition a little bit
Page 132 }.
1 Inc. is the Supply -- the Society of the
2 Plastics Industry but I don't know
3
I never heard of that
4 organization
5
Q. Have you ever heard of Dr.
6 Selikoff
7
A. No.
8
Q. Sir I want to ask you some
9 questions about Workers Compensation claims
10
As you sit here today sir do
11 you have any knowledge of whether a Workers
12 Compensation claim was ever filed by a Rogers
13 employee for an asbestos claim
14
A. -- can't say for sure
15
Q. Is there anyone who worked at
16 Rogers who would have personal knowledge about
17 the filing of Workers Compensation claims for
18 asbestos
19
A. I think that ultimately the
20 knowledge of that would -- would have ended up
21 with -- with someone like Dave Heilemann
22
Q. And Mr. Heilemann we indicated
23 is still with us
24
Is that correct
25
A. He is still alive yes
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Page 133
I
1
A. Something like that How many
2 cars in the parking lot
3
Q. Sure
4
Were you ever involved in the
5 creation of the MSDS sheets for plastic molding
6 compound that was -- that were created by
7 Rogers
8
A. saw them but I did not create
9 them
10
Q. Who if anyone at this site
11 would have created them
12
A. Well some of the --
13
Some of the questions would be
14 asked of engineering people but the final
15 filling of them out was generally done at the
16 corporate location
17
Q. Were you --
18
Was Rogers ever a member of the
19 Asbestos Committee of the Society of Plastics
20 Inc.
21
A. couldn't tell you that
22
Q. Have you ever heard of that
23 association before
24
A. No no I haven't but I will --
25 am wondering if the Society of Plastics
1
Q. Do you know who the Workers
2 Compensation insurance carrier was for Rogers
3 during either the 60s 70s or 80s
4
A. don't recall who it was for -
5
I don't really know for the 60s
6 and 70s Actually I will just say I
7 don't know
8
Q. Okay
9
Do you even know if Rogers had --
10 were they insured or did they have a 11 Workers Compensation insurance carrier in the
12 60s or 70s if you know either way
13
A. I think that we had an insurance
14 carrier
15
Q. Do you know if it was Liberty by
16 any chance if that rings a bell
17
A. don't think that Liberty went
18 back into the -- into the beginnings of this
19 I think Liberty is later
20
Q. Do you know if any of your
21 Workers Compensation insurance carriers -- if
22 any of them ever conducted any air sampling
23 tests themselves because of the filing of a
24 Workers Compensation claim for asbestos
25 disease
Src seacs oman: 7AMMACE? CASI
SSAC
ASS OSU SSIES
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Mark DeLassus
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A. am not aware of it
1 sorry Three columns
Q. Do you have any appreciation as
1234 you sit here today on what decade the first Workers Compensation claim was filed A. For anything Q. For -- my questions are limited to asbestos conditions
If it was the 40s 50s 60s 70s 80s 90s I am just -
10 A. There's -I think there's a possibility in
11 the 80s
12 Q. Okay
1514
Do you know early middle or
late 80s of course
MR SANTOMASSIMO If you know
16
Q. If you know A. don't know specifically
2019 Q. Do you know if anyone has ever filed a Workers Compensation claim because of
21 the development of an asbestos
22 malignancy at least claiming that
23
A. When you say Workers
2 Compensation do you mean were they an
2525 employee when they filed or did they file
A. It's the claimant claim date
3 and the notice date Q. Can you tell me the difference between the notice date and the claims date if
you know
6 A. Well I know -I know about half the people on the list personally by name -Q. Sure A. and the claim date appears to be the date that Rogers probably received paperwork that there was a claim The notice dates -- they are not consistent Some of them are like -- like in
the middle of their employment
Some of them are after their
employment I don't really know -- this notice
date column doesn't seem to be consistent on how the dates are arrived at
Q. Do you know what individual gathered up that information to create those
three columns
A. No I am not Q. want to ask some general
Page 135
after their employment ceased Q. My question is for both and I
will --
Once L if you know some specific
information I will break it up that way of
5 course I am just trying to ascertain what you know Workers Compensation claim for asbestos disease whether it be asbestosis
10 lung cancer mesothelioma
11
A. am not aware of any employee
12 while employed filing anything
Q. Okay And sir I had a brief
12 6 conversation with your attorney about a Workers Compensation answer that's on page 43
here
Have you had a chance to look at
19 this Now do you have personal knowledge --
2020 this might be a question for Mr. Heilemann
2021
22
later which is fine There is three rows there Do
23 you see those One is name One is notice
23 date
2325
What's the other column I'm
Page 137
questions about Workers Compensation if you know it if that applied in the state of
Connecticut
Do you know if the rates are
determined -- and by rates of course I mean
5 the premiums that Rogers Corporation will have to pay for Workers Compensation coverage based on the history of prior claims being filed A. am not sure how it works for --
10
First of all I am not sure that
12 Rogers ever had anything on this particular
13 topic but I believe that it's experience based
Q. Okay
1177 Do you know as you sit here today whether or not Workers Compensation insurance rates have ever been -- you know higher in cost because of previous Workers Compensation 20 claims being filed for asbestos
21
A. am not aware of an impact from
22 the rate from asbestos claims
232 Q. Do you know whether under the law of Connecticut that -- whether or not widow 25 benefits are honored in the state of
Fe
AIT
OAR
A
ROC,
RR 4
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PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
I Connecticut
Page 138 1
Informal discussion held off the
Page 140
,
2
And by that I mean if someone who
3 is retired ten years into retirement develops
4 an asbestos disease and passes would
2 record
3
Q. Raymond Mikulak UL
4 and James -- I will spell this
S his wife have what's known as a widow claim for
5K
6 benefits even though her husband was no longer
7 working at the time of his disease
8
A. don't I.
9
Don't know how the -- I don't
6
Now that case took place in
7 1987 and I have been trying to find the
8 depositions for that case
9
Do you know-- know-- do you know
10 know the mechanics of how the wife ww if it 11 was -- if it was the woman -- I don't know how
10 anything about that case
11
A. No.
12 the wife would be compensated
13
Q. Okay
14
Because under New York law -- and
15 will tell you where I am going with this -- a 16 widow may be entitled to widow benefits
12
Q. Where those --
13
A. No I don't
14
Q. AndI will just ask a few
15 questions and I will move on
16
I see here that it was a New York
17 regardless of whether or not her husband was 18 still working at the time of his disease and
19 death
20
Do you know if there is somebody
21 at the Rogers Corporation who might have a list
22 of payments that are being made today to widows
23 and claimants for an asbestos
17 case
18
Do you know what part of New
19 York if anything that case involved
20 whether -- was it a custom molding case like
21 Diemolding
22
What -- do you know that --
23
A. I don't --
24 disease
24
I don't know the -- the roots of
25
A. suspect somebody has the list
25 that case
123
Q. Okay
123
Sir I am just about to the end
3 here
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Page 141
1
*
MR COMERFORD Okay
2
I will just make a continuing
3 request for it I know Mr. Santommasimo is
4
There was -- I am going to show
5 you if you could hand that piece of paper
6 back --
4 looking for that testimony
5
I know if he finds it he will
6 turn it over to me but I will ask the court
7
Here on page 44 I am looking for
8 any testimony given in the past by any former
9 employee -- employees of Rogers former and
10 current and I got your previous testimony
11 in in a case which I have here I think you
7 reporter to put it at the end of the transcript
8 and I will do my best to try to find it and if 9 I do find it I will send it over to
10 Mr. Santommasimo
11
Just a few more questions here
12 gave back in 1994
13
ThenI think the second
14 deposition I have -- and I have to look
15 that -- is that of a Mr. Smith
12 One second sir If can just mark these two
13 exhibits as Exhibits 4 and 5
14
Thereupon two documents were
15 marked DeLassus Exhibits 4 and 5 for
16
MR SANTOMASSIMO Yeah
16 identification
17
Q. Mr. Smith in a case called
18 Asprey phonetic which took place in
19 Michigan I think it focused on a case
20 involving Ford
21
My question is this There's
22 three other depositions that took place in 1987
23 case called Stahl A and the
24 gentleman who testified in those cases was a
25 David Heilemann M
17
MR COMERFORD Mr. Santommasimo
18 am just going to hand you a copy of the
19 second document Take that --
20
MR SANTOMASSIMO Are we marking
21 these as exhibits
22
MR COMERFORD Yeah
23
These are marked as four and
24 five Those are just copies I have got
25 the --
ET here Pe ee
Larne
108
a
A
MARANTZ brigh
AAO AA NLA SORRELL
EERE IE ETE BO
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PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
12345
MR SANTOMASSIMO Yeah I
2 understand
12345
Off the record for a second
Page 142
1 conversations or communications with
Page 144
;
2 Mr. Welshman about Rogers need to file the
3 OSHA regulations concerning the threshold limit
4
THE VIDEOGRAPHER Off the record
4 values of asbestos
12345 at p.m.
5
6
Informal discussion held off the
6
7 record
7
8
THE VIDEOGRAPHER We are on the
8
You yourself
A. No.
Q. And sir I am going to -The next document is something
9 record at approximately 1:04 p.m.
10
Q. Sir there's a document that's
11 marked Exhibit 4 and that's the one from the
12 Manville Corporation to a Mr. Carl 13 Welshman W
14
Do you see that
15
A. Yes
16
Q. Do you see it's dated 1971
17
A. Yes
9 called Consad Research Corporation Do you see
10 that
11
A. Yes
12
Q. And this is marked Exhibit 5
13
This is -- this document page 2
14 was prepared for OSHA in 1977 by the Consad
15 N Research Corporation
16
Have you ever seen that document
17 before
18
Q. Sir my question is this
19
Have you ever seen that document
20 before if you know
21
A. No.
18
A. No have not
19
Q. Sir do you have any general
20 knowledge of General Electric pulling out of
21 the plastic molding compound business sometime
22
Q. Who was Carl Welshman
23
A. Carl Welshman was an employee
22 in or around 1972
23
Any general understanding of
24 at 11 at the Rogers corporate location and he 25 was involved in the purchasing of the -- like
24 that
25
A. General Electric
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|
Page 145
123In the large volume kind of raw materials
123In
Q. And is he still alive today if
123In you know
123In
A. I believe he is alive
123
Yes
123
MS WOOD Objection
123
A. I
4
Q. You know it was a bad question
5
Q. Okay
6
Is he still in the employment of
7 Roger Corporation
8
A. No he is not
9
Q. Okay
10
Now in looking at this letter
11 Mr. Welshman received a document from
12 Manville corporation regarding OSHA and 13 some of the regulations do you see the date
14 there
15
1971
16
A. Yes
17
Q. Does that assist you at all in
18 that the -- the fact that OSHA was passed as a
19 federal regulation sometime in the early 1970s
20
A. Does it help me recall
21
Well I didn't know that it was
22 in the early 70s so it doesn't help me
23 recall
24
Q. Okay
25
And did you ever have any
5 on my part
6
Do you have any general
7 knowledge -- my counsel was kind enough to
8 correct me that General Electric in 1972 phased
9 out the use of asbestos in its plastic molding
10 compounds
11
Do you have any knowledge of that
12 either way
13
A. About asbestos with General
14 Electric
15
No.
16
Q. Did you ever learn that at some
17 period that some of your competitors -- even
18 some of the larger plastic molding compound
19 suppliers - phased out asbestos at any time
20
Conversations about that or
21 communications about that in some regard
22
A. don't have any knowledge of the
23 specific points at which they exited asbestos
24 compounding
25
Q. Do you have the knowledge that
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12
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14 15
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2020
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24
2524
some pulled out of asbestos earlier than
others
A. I would have that impression
Q. And who if you can give me an idea of who sort of -- you know who pulled asbestos out of their product before others or phased out I should say
A. I don't know the answer to that
Q. Okay but you -- you have some recollection of that in the past that some did
do that
You just don't know who A. The industry didn't decide on all do it on the same day so it was on different days and different years and I don't know
which was which
Q. And this -- DeLassus 5 -- have you ever seen this before this --
A. No I have not
Q. The -We heard testimony from
Mr. Donald Dew last week about Diemolding sir manufacturing kitchenware and some other
materials
I can give you a second to read
specifically supplied a material into
Q. Well we heard some testimony
from Mr. Dew that he was -
That quite often Westinghouse
Corning Alcoa -- who am I leaving out here --
10 Revere -- would specify the type of molding
;
compound that Diemolding would use to make some
of this kitchenware or flatware and other
materials And are you aware of as you sit
here today of any of those four customers of
1212 Diemolding specifying the use of a Rogers molding compound A. can get one of the -14 One of the first questions you
15 asked me was -- you know the kinds of products
1717 that Rogers made and I said that our product were engineering material that cost two to 19 three times what the competitive materials generally cost with the exception of Fiberite
212 phonetic they were more similar to us and the appliance industry that you are talking about now is one of the most sensitive
industries and that the -- that Rogers didn't 25 sell into those companies for purposes of
Page 147
that if you want sir I was going to move
on --
1011 20
A. Go ahead
Q. -- but if you need time I will be happy to give it to you -- about Diemolding manufacturing products for four companies Revere ALCOA Corning and Westinghouse
Have you ever -- has Rogers at any time ever had any business relationships with those four companies I just gave you
A. Only with Westinghouse
And what if anything would Rogers -- what kind of business did Rogers do
with Westinghouse A. don't know -- I can only answer
for -- for the parts that I have any familiarity with but Rogers -- well this is
sort of like the --
This is - it's more like a story
about the roots of Rogers and I'm not sure if it's allegorical or what it is but it's like George Westinghouse used some Rogers product in
the first invention of the transformer But after that point in time I
can't name a specific application that Rogers
TS
A
A
STE
TOE TEC ESET
eT EERE
Page 149 |
:
1 household appliances pots and pans and
electric frying pans and things like that
Rogers didn't sell into that and
2 my comment about Westinghouse was like -- like
5 a totally industrial form not a commercial
form at all
Q. And going back to this case and
2 if I -- if you have already testified to this
9 I apologize because I have done my best to try
10 not to ask the same question twice today
11
am getting -- getting to the
12 end The specific 462 and what have you that was
13 sold by Rogers to Diemolding that's reflected
14 as Exhibit D in the interrogatories 11
15
Do you know what that plastic
16 molding compound was being used to create by
17 Diemolding
18
A. Well I said that I didn't know
19 for sure if 462 existed in that period of time
20
Therefore I don't know what it
21 would have been used for
22
Q. And there's two types of plastic
23 molding compound that could have been sold at
24 least according to the interrogatories by
25 Rogers to Diemolding during that time period
Sree
aa FI LTO OEIT SET CSTE AER 1
"38
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Mark DeLassus
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Page row
1 is that correct sir
2N
A. Yes
1 not asking you this
2
Did there come a time period when
e"
2N
Q. And one was 462 and the other
3 Rogers began to place a warning on their
4
one --
4 containing plastic molding compound
5 6 sir
Do you remember what that was
5 that it sold to customers
6
And if so what year was that
7
A. 466
7
A. I believe --
8
Q. Let's break these up
9
466 -- what would that have been
8
Yes they did and I believe that
9 it was 1977
10 used for by Diemolding back in the '60 to '66
11 time frame
10
Q. And do you know who was involved
11 in the decisionmaking by Rogers to implicate
12
A. I don't know the specific
13 application but the product itself in general
14 was used for electric motor parts
15
Q. Okay
16
Let me just check my notes sir
17 I think I am just about at the end of the road
18 here
19
Sir I want to ask you about
20 sales to the United States military
21
Did Rogers have any sales of
22 plastic molding compound to the United States
23 government if you know
24
MR SANTOMASSIMO So the
12 such a warning
13
A. don't know --
14
I don't know if it was one
15 person two people five people but I suspect
16 that one of the people was that Walt Hayes who
17 was the division president
18
Q. And it's in my notes
19 somewhere
20
Is Walt Hayes still with us
21
A. No he is not
22
Q. And you said that
23
I'm sorry Do you -- do you know
24 if the Society of Plastic -- Plastics exists
25 government could use -- mold it itself you
25 today
Page 151
123 mean
12
123
MR COMERFORD I assume if the
2
123 government was buying plastic molding compound
3
4 that they would --
4
5
I'm not sure what they would do
5
6 with but I -- I have got a pretty good
6
7 guess
7
8
Q. Any sales of any plastic molding
8
9 compound sales to the United States government
9
10 that you may be aware of
10
11
A. I will just say that because we
11
12 have this custom molder intermediary situation
12
13 and in the vast majority of cases I believe
13
14 that the -- that the government did have
14
15 applications that contained phenolic molding
15
16 compounds but who molded the parts themselves
16
17 can't be sure
17
18
Q. Okay
18
19
But my -- my question though was
19
20 a little different though
20
21
If you know do you have any
21
22 knowledge of specific sales from Rogers to the
22
23 federal government
23
24
A. No I do not
24
25
Q. And -- and I have -- I was remiss
25
Ree ra
A
Se
oR
STRSTR SCTE SSIES
Is there such a thing A. The Society of Plastics Industry is still probably the largest trade group --
what do you call it Trade- Trade- trade association for
Page 153 :
;
the plastics industry as a whole so it still
exists
Whether the phenolic division
still exists I don't know
Q. And was Rogers a member of that Society of Plastics throughout the entire
tenure that you were there A. No.
Q. Let me ask you this Do you have any knowledge of
whether or not Rogers was even a member of that
association
A. Yes
Q. And when if at all did they become a member if you know
A. I believe about 1982. '82
Q. And what -Was there something that
precipitated Rogers gaining -- gaining an interest in this association and joining it
rT SRO
KR SS
SS
39
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Mark DeLassus
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i
1
A. That was the time that I met Don
2 Dew Sr. and we were trying to inaugurate the
1 the record
2
The time is approximately 1:31
3 phenolic molding of the SPI
3 p.m.
4
Q. Did the SPI have some kind of
4 EXAMINATION BY
5 predecessor association or did you guys start
5 MR CASIMIR
6 that new
6
Q. Good afternoon Mr. DeLassus Is
7
A. The SPI is an umbrella that has
8 many different divisions underneath it so in
7 ~~ that right
8
A. Yes
9 1982 we wanted to establish a phenolic molding
9
Q. My name is Gary Casimir I just
10 division underneath the SPI umbrella
10 have -- few questions
11 indicating
11
Could you explain if there's a
12
Q. If wanted to drive to this
12 difference between a general purpose phenolic
13 association where would I go
13 molding compound and other phenolic molding
14
A. The headquarters of it is in
14 compounds
15 Washington D.C.
16
Q. And how long have the
17 headquarters been there if you know
18
A. don't know Long time
15
A. The general --
16
WhenI used the term general
17 purpose phenolic molding compounds I am
18 speking of materials that are -- that have very
19
Q. early as the 1960s
20
A. I don't know I don't know
19 little if any reinforcement and they are 20 generally wood flour or mineral filled with
21 how -- at least 1980 but earlier than that I
21 resin or other things but --
22 don't know where it was
22
Q. Do the general purpose phenolic
23
Q. Do you -
222 molding compounds have asbestos
24
Do you know or are you aware of
222
A. don't
25 any associations that Rogers may have been
25
I don't know if any of the
Page 155
Page 157
123 associated with at any time during the 70s or
123 80s --
1 general purpose compounds had asbestos in it or
2 not
123
A. In the 80s --
4
Q. -- other than this Other than
5 this association
6
A. Other than this no
7
Q. Was Rogers ever a member of the
8 National Safety Council
9
A. don't know
3
Q. Okay
4
Earlier you had testified that
5 through some documents you saw published by the
6 SPI there was a total production of four
7 hundred million pounds of phenolic molding
8 compound
9
Do you know if all of that was
10
MR COMERFORD Okay Sir am
11 through
12
I may have a followup question
13 after -- as we go around the table but I don't
14 anticipate and I hope I am right many
15 questions from -- from the defendants here but
16 I will pass the witness at this time
17
MR CASIMIR Can we go off the
18 record
10 containing or some of it was Do you
11 know what the 33 the -- the -- the differences
12 between the two if any
13
A. No Response
14
Q. Let me -- I'm sorry Withdraw
15 that question Let me rephrase it
16
Do you know if the four hundred
17 million pounds of phenolic molding compound --
18 did it all contain asbestos
19
Informal discussion held off the
19
20 record
20
21
THE VIDEOGRAPHER We are off the
21
A. doubt it
Q. Okay
Do you know how much of it did or
22 record at 1:19 p.m.
22 did not contain asbestos
23
Recess taken at 1:19 p.m.
23
A. don't know
24
Resumed at 1:31 p.m.
24
Q. Okay
25
THE
A
VIDEOGRAPHER
RS
PPO
ASTI OOS
We back TESTO SSE SSS) 7 98 OPS aCe
| 25
1 A SENECA CMTS
You mentioned earlier that five
STAND
TANKER TANKER So Karen aces oY
RA Nand K Pan nteneeene eT
40 Pag1e54 sto157
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Mark DeLassus
Page 158
Page 160 |.
1 or six companies were producers of phenolic
2 molding compound
3
I am sorry seven companies
1
What does GTE stand for
2
Q. don't know
3
MR CASIMIR That's all the
4 One two three four -- six companies were
4 questions I have
5 producers of phenolic molding compound
6
Were there other companies that
5
Thank you
6
MR COMERFORD We are going to
7 you did not mention
8
A. Yes
7 go around the table
8
Any other questions
9
Q. Okay
10
Do you know how many other
9
MS WOOD No questions
10
MR COMERFORD Mr. Whitcomb
11 companies there were that you did not mention 12 names but number if you can give me
13 range
14
A. Four or five more
11 You are on the --
12
MR WHITCOMB No questions
13
MR COMERFORD Mr. Santomassimo
14
MR SANTOMASSIMO I have no
15
Q. Do you know the names of any of
16 the four or five that you did not mention
15 questions
16
MR COMERFORD Sir thank you
17
A. Yes do
17 for your time
18
Q. What are their names
19
Just so -- you mentioned Durez
20 Plenko GE Union Carbide Fiberite and Rogers
18
We are done
19
THE VIDEOGRAPHER That will
20 conclude the recording of this deposition and
21
A. Yeah Reichold D
21 the videotape
22 Bakelite Thermalsets Limited Resinoid and I
22
We are off the record at
23 think the name of the company was Valentine
23 approximately 1:35 p.m. February 24th 2004
24 Sugar but their product was Val Light
25
Q. Now the Bakelite Company that
24
Time noted 1:35 p.m.
25
Page 159
1 you just mentioned --
2
Is that the same company you
3 mentioned in Canada as well
Bakelite
Limited
that
4 talking about Thermalsets Canada I am talking about is was in Canada
-- 6
you know where it is now You
Q. Do 7 said it was in Canada
8
A. think I - I suspect it was
9 absorbed by some other corporation That plant
10 is probably not used at all
11
Q. Is that the plant that you
12 visited in 1983 that you were thinking of
13 acquiring
14
A. Yes
15
Q. At that time it was no longer
16 functioning
17
At that time it was no longer
18 functioning is that correct
19
A. That's correct
20
Q. Do you know if a company named
21 GTE also produced phenolic molding compounds
22
A. GTE
23
Q. huh
24
A. I don't know if they produced
25 compounds or not
1
ACKNOWLEDGMENT
2 STATE OF NEW YORK
SS
3 COUNTY OF
DELASSUS 4
, MARK
hereby certify
5 that I have read the transcript of my
6 testimony taken under oath in my deposition
7 of February 24 2004 that the transcript is
8 a true complete and correct record of what
9 was asked answered and said during this
10 deposition and that the answers on the record
11 as given by me are true and correct
12
14
www
15
MARK DELASSUS
16 Signed and subscribed to
before me this day
58 of
> 2004
18
Page 161
Public
87232 Notary Public
872322 872322 872322 872322 25
"41
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PRIORITY COURT REPORTING SERVICES 718 983-1234
Mark DeLassus
Page 162
CERTIFICATE
I CHERYLL KERR hereby certify
123 that the Examination Before Trial of MARK DELASSUS was held before me on February 24
1235 2004
6
That said witness was duly sworn
before the commencement of his testimony
That the within testimony was
stenographically recorded by myself and is a
true and accurate record of the Examination
Before Trial of said witness
That the parties herein were represented by counsel as stated herein
That I am not connected by blood or marriage with any of the parties I am not interested directly or indirectly in
the matter in controversy nor am I in the
employ of any of the counsel IN WITNESS WHEREOF I have
hereunto set my hand this 24th day of
February 2004
CHERYLL KERR
PRIORITY COURT REPORTING SERVICES 718 983-1234
42
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