Document NDoz1a5238vr7GDnqnONJv8p

11572-1000 MXY/dal propounded by Plaintiffs as they would be covered under this single request. Because it is too broad, every document produced is also applicable either to this Request or Request No. 7. Subject to and without waiving objections, other documents responsive to this Request are labeled Warner SBC-24-000001-001443. REQUEST NO. 9: Any and all writings or documents of any nature whatsoever, including but not limited to, any dust studies, industrial hygiene survey and/or test results, guidelines for conducting dust studies and/or industrial hygiene surveys or tests, studies and/or reports which refer, reflect, concern, or relate to any dust or particulate matter suspended in any breathable atmosphere at any of the Defendant's plants or work sites, or any other location where asbestos, vermiculite, asbestos-containing products, or vermiculite containing products were being added, applied, installed, stored, or removed. RESPONSE; See Answers to Interrogatory No. 41, 43, and 56 in Dana Corporation's Supplemental Answers and Objections to Plaintiffs' Interrogatories Regarding Warner Electric Brake & Clutch Company Pursuant to Order Dated October 20, 2003. Documents responsive to this request are labeled Warner SBC-08-000001-001548. 13