Document MMKamMZNXzeoJvR2R4wXmoeXy

See Response to Request for Production No. 1, which is incorporated herein as if fully rewritten. REQUEST FOR PRODUCTION NO. 6: Please produce any warnings, safety instructions, cautionary language, or other descriptive device concerning the risk, dangers, and hazards of exposure to, or use of, asbestos or asbestoscontaining products that were place on, or included with, the asbestos-containing products that Defendants designed, manufactured, sold, or otherwise placed in the stream ofcommerce between 1968 and 1995. RESPONSE: See Response to Request for Production No. 1, which is incorporated herein as if fully rewritten. REQUEST FOR PRODUCTION NO. 7: Please produce all contracts, correspondence, designs, specifications, and photographs of, or pertaining to, the packaging and shipping of asbestos or asbestos-containing products that you designed, manufactured, sold, distributed, or otherwise placed in the stream ofcommerce between 1968 and 1995. /RESPONSE: .See Response to Request for Production No. 1, which is incorporated herein as if fully rewritten. REQUEST FOR PRODUCTION NO. 8: Please produce all documents containing any express representations or warranties made by Defendants regarding asbestos or asbestos-containing products Caterpillar designed, manufactured, sold or otherwise placed in the stream of commerce between 1968 and 1995. RESPONSE: See Response to Request for Production No. 1, which is incorporated herein as if fully rewritten. REQUEST FOR PRODUCTION NO, 9: Please produce all documents relating to the health, safety, and environmental and industrial hygiene, .of the effects of exposure to asbestos and/or asbestos-containing products that you received from any trade organization of which you are or were a member and/or from any other defendants in this litigation and/or from any other source. RESPONSE: 27