Document NeJDrQa2krGDzBkxR8nX6x18Q
BRAYT0N& ASSOC JUN l 1 1990
-c
HOWARD L. CHURCHILL/ ESQ. KATHLEEN S. FARLEY, ESQ. 2 BURNHILL, MOREHOUSE, BURFORD, SCHOFIELD & SCHILLER, INC. 3 1220 Oakland Boulevard, Suite 2CO Post Office Box 5168 4 Walnut Creek, California 94596 (415) 937-4950
5 Attorneys for Defendant
6 KELLY-MOORE PAINT COMPANY, INC.
RECEIVED
p r. -
005537
7 8 SUPERIOR COURT OF THE STATE OF CALIFORNIA 9 IN AND FOR THE COUNTY OF ALAMEDA
10
11 IN RE COMPLEX ASBESTOS LITIGATION
12
NO. 607734-9 /
13 IN RE SHIPYARD AND APPLICATOR ASBESTOS CASES (CONSOLIDATED
14 FOR DISCOVERY)
15 /
16
NO. 537868-7
DEFENDANT KELLY-MOORE'S ANSWERS TO PLAINTIFFS' STANDARD SET OF INTERROGATORIES
17 PROPOUNDING PARTY Plaintiffs
18 RESPONDING PARTY:
Defendant KELLY-MOORE PAINT COMPANY, INC.
19 SET NO.:
ONE
20 21 TO PLAINTIFFS AND THEIR ATTORNEYS OF RECORD: 22 Defendant KELLY-MOORE PAINT COMPANY, INC. ,responds tc 23 Plaintiffs* First Set of Interrogatories to Defendant as follows:
24 ///
25 ///
26 ///
27 ///
28 /// USE 15
l
1 DEFINITIONS 2 GEOGRAPHIC LIMITATION. Unless otherwise specifically set 3 forth, the geographic scope of these interrogatories is NORTHERN 4 CALIFORNIA. 5 TIME LIMITATION. Unless otherwise specifically set forth, 6 the time frame of these interrogatories is 1930 to the present.
7 "THIS DEFENDANT" (THIS DEFENDANT'S) shall mean the named
8 defendant herein, all of its predecessors in interest, and all of 9 its successors in interest. 10 "YOU" and "YOUR" refer to the defendant who is named above 11 as the responding party. 12 "ASBESTOS-CONTAINING PRODUCT(S)" shall mean any product(s) 13 of THIS DEFENDANT which THIS DEFENDANT knows or believes 14 contain(s) the mineral asbestos.
15 "RAW ASBESTOS FIBER" means asbestos fiber mined or milled,
16 either packaged or in bulk, not compounded with other substances
17 and essentially pure with the exception of naturally occurring
18 trace amounts of other substances. 19 "MARKET" (MARKETing, MARKETed) shall mean the mining,
20 supply, sale, labeling, distribution, importing, processing or 21 manufacture of raw asbestos fiber and/or asbestos-containing
22 products. 23 A request to describe the "NATURE" of ASBESTOS-CONTAINING
24 PRODUCT(S) shall mean to describe the: (a) color, (b) texture,
25 (c) form fi.e.. powder, liquid, paste, solid, board, cloth,
26 blanket, wire insulation, etc.), and (d) physical dimensions
27 (length, width, height, volume and weight).
28 ///
IUS?
6t0
2
1 I "DOCUMENT(S)M or "WRITING(S)" shall include all writings as
2 defined by Section 250 of the California Evidence Code. A request
3 to "IDENTIFY" a "DOCUMENT" or "WRITING" shall mean a request to
4 state:
(a) the author? (b) the addressee; (c) date of origin;
5 (d) the nature of the writing or document (e,_cr. , letter,
6 telephone memorandum, audio tape recording, photograph, etc.);
7 and (e) its present location and name and present address of
8 custodian thereof.
9 A request to state the "IDENTITY" of a person or individual
10 means to state his or her name, the place of employment, job
11 title, present business or present or last known home address,
12 and present business telephone number.
13 "NORTHERN CALIFORNIA" shall encompass the following forty-
14 six (46) counties: Alameda, Alpine, Amador, Butte, Calaveras,
15 Colusa, Contra Costa, Del Norte, El Dorado, Fresno, Glenn,
16 Humboldt, Kern, Kings, Lake, Lassen, Marin, Mariposa, Mendocino,
17 Merced, Modoc, Mono, Monterey, Napa, Nevada, Placer, Plumas,
18 Sacramento, San Francisco, San Joaquin, San Mateo, Santa Clara,
19 Santa Cruz, Shasta, Sierra, Siskiyou, Solano, Sonoma, Stanislaus,
20 Sutter, Tehama, Trinity, Tulare, Tuolumne, Yolo and Yuba.
21 A "CONTRACT UNIT(S)" shall mean a department, division,
22 subdivision, branch, or group which has been or is now engaged in
23 installation and/or removal of RAW ASBESTOS FIBER and/or
24 ASBESTOS-CONTAINING PRODUCT(S).
25 "COMPANY" means any profit-making private enterprise,
26 including corporations, partnerships, joint ventures, and sole
27 proprietorships.
28
'USE ElO
///
3
1 GENERAL OBJECTIONS 2 The following objections are raised as to each and every 3 Interrogatory propounded in this set: 4 1. Defendant KELLY-MOORE objects on the grounds these 5 Interrogatories are overly broad as to time and scope, are 6 burdensome, and are not reasonably calculated to lead to 7 discovery of admissible evidence. 8 2. Defendant KELLY-MOORE objects to the extent these 9 Interrogatories may have been previously answered under oath and 10 as such these Interrogatories are burdensome,- oppressive, 11 irrelevant and repetitious. 12 3. To the extent the Interrogatory is not full and complete 13 in and of itself, contains subparts and/or compound, conjunctive, 14 and disjunctive questions, Defendant KELLY-MOORE objects that 15 these Interrogatories violate Code of Civil Procedure Section 16 2030. 17 4. Defendant KELLY-MOORE objects to the definitions and 18 instructions on the basis the definitions are overly broad, vague 19 and ambiguous, and burdensome. Furthermore, the definitions 20. contain various matters that are not permissible under law, are 21 unintelligible, and are overly broad, burdensome and oppressive, 22 as well as vague and ambiguous. 23 5. Defendant KELLY-MOORE also objects to these 24 Interrogatories to the extent they call for information protected 25 by the attorney-client privilege, or the attorney work-product 26 doctrine, or any other applicable privilege. 27 6. Furthermore, Defendant KELLY-MOORE does not waive any 28 objections it has now or may have in the future concerning the
Lit
4
1 Order of the Court allowing Plaintiffs to serve these 2 Interrogatories in Alameda County. By answering this set of 3 Interrogatories, Defendant KELLY-MOORE does not waive any of its 4 rights or remedies.
5 6 ANSWERS TO INTERROGATORIES
7 8 Defendant KELLY-MOORE PAINT COMPANY, INC. responds to 9 Plaintiffs' Standard Set of interrogatories as follows:
10 11 INTERROGATORY NO. 1: 12 With respect to the individual verifying these answers on 13 your behalf, state the following: 14 a. their name? 15 b. their present business address; 16 c. their present job title? 17 d. their date of first employment with you, and the dates 18 and titles of each job position they have held while they were 19 employed by you. 2a ANSWER: 21 Without waiving its general objections, Defendant KELLY22 MOORE responds as follows: 23 a. John Bacigalupo? Douglas Wayne Merrill. 24 b. John Bacigalupo: 987 Commercial Street, San Carlos, CA 25 94070? Douglas Merrill: 987 Commercial Street, San Carlos, CA 26 94070. 27 c. John Bacigalupo, Secretary-Treasurer? Douglas Merrill, 28 Vice President of Manufacturing. use ;lo
5
Af*V.
1 d. John Bacigalupo: April 1969 to January 1972 -
2 Accountant; January 1972 to January 1976 - Controller and
3 Assistant General Manager? January 1976 to April 1978 -
4 Accounting Manager for West Coast Rocky Mountain Division; April
5 1978 to March 1980 - Vice President of Accounting? March 1980 to
6 Present - vice President of Accounting and Secretary-Treasurer.
7
Douglas Merrill: July 1968 to October 1968
Quality
8 Control Chemist? October 1968 to December 1981 - Research and
9 Production Manager - Paco Division? December 1981 to March 1983 -
10 Assistant to Vice President, Manufacturing? March 1983 to April
11 1989 - Plant Manager? April 1989 to Present - Vice President of
12 Manufacturing.
13
14 INTERROGATORY NO. 2:
15 State whether YOU are a corporation. If so, state:
16 a. YOUR full corporate name;
17 b. the state of incorporation?
18 c. the date of incorporation?
19 d. the address of YOUR principal place of business;
20 e. if YOU are wholly-owned or if more than five (5) percent
21 of the ownership interest of YOUR COMPANY is owned by another
22 business entity, state that entity's name and principal place of
23 business.
24 ANSWER:
25 Without waiving its general objections. Defendant KELLY-
26 MOORE responds as follows:
27 a. Kelly-Moore Paint Company, Inc.
28 b. California.
USE
IG
6
1 c. December 4, 1952; 2 d. 987 Commercial Street, San Carlos, CA 94070. 3 e. Not Applicable. 4 5 INTERROGATORY NO. 3: 6 Has THIS DEFENDANT ever been identified, known, or done 7 business under any other name? If so, please state such name or 8 names and the time period during which THIS DEFENDANT was so 9 known or identified. 10 answer: 11 Without waiving its general objections, Defendant KELLY12 MOORE responds as follows: 13 NO.
14 15 INTERROGATORY NO. 4: 16 State whether YOU have ever been registered or qualified to 17 do business in the State of California. If so, state the date 18 YOU became qualified to conduct business in the State of 19 California. 20. ANSWER: 21 Without waiving its general objections, Defendant KELLY22 MOORE responds as follows: 23 Yes; December 4, 1952; however, Defendant KELLY-MOORE PAINT 24 COMPANY, INC. was a general partnership from April 1, 1946 until 25 the date of incorporation.
26 27 /// 28 ///
.10 4'fON
7
1 INTERROGATORY NO, 5: Does THIS DEFENDANT currently have, or has THIS DEFENDANT
2 3 had a department, division, subdivision, branch or group 4 responsible for the design, development, manufacture, testing and 5 use of ASBESTOS-CONTAINING PRODUCT(S). If so, state: 6 a. the name of each present or former corporate department, 7 division, subdivision, branch or group; 8 b. the IDENTITY of the person most knowledgeable about such 9 department, division, subdivision, branch or group. 10 ANSWER: 11 Without waiving its general objections, Defendant KELLY12 MOORE responds as follows: 13 a. Paco Textures Division. 14 b. Douglas Wayne Merrill.
15 16 INTERROGATORY NO. 6: 17 Has THIS DEFENDANT engaged in the MARKET ing of ASBESTOS18 CONTAINING PRODUCT(S) comprised in whole or in part of amosite 19 asbestos fiber; if so, please state: 20. a. the trade, brand name and/or generic name of each type 21 of product; 22 b. the date(s) THIS DEFENDANT first MARKETed each type of 23 product; 24 c. the date(s) THIS DEFENDANT ceased MARKETing each type of
25 product; 26 d. a general description of the chemical composition of
27 each type of product, including:
28 ///
WSf
= 10
8
1 (i) the type(s) and/or grade(s) of RAW ASBESTOS
2 FIBER contained in each type of product;
3
(ii)
the quantitative percentage of the type(s) of
4 RAW ASBESTOS FIBER in each type of product;
5 (iii) any change(s) in the quantitative percentages of
6 the type(s) of RAW ASBESTOS FIBER in each type of product?
7 e. the NATURE of each type of product?
8 f. a description of any wording, markings and/or logo on 9 each type of product? 10 g. the recommended use(s) of each type of product, 11 including temperature limits? 12 h. the name(s) of the manufacturer(s) of each type of 13 product; 14 i. the name(s) and address(es) of the supplier(s) of the 15 amosite asbestos fiber used in each type of product; 16 j. the IDENTITY of the person(s) most knowledgeable
17 concerning the purchase of amosite asbestos fiber by THIS 18 DEFENDANT. 19 ANSWER: 20 Without waiving its general objections. Defendant KELLY21 MOORE responds as follows: 22 NO#
23 24 INTERROGATORY NO# 7:
25 Has THIS DEFENDANT engaged in the MARKETing of amosite 26 asbestos fiber; if so, please state:
27 a. the name and location of each amosite asbestos mine
28 which THIS DEFENDANT presently operates, has operated, or in
USE
:U> 9
1 which THIS DEFFENDANT has or had an ownership interest, including 2 the dates of such ownership, and the grade of amosite asbestos 3 fiber mined; 4 b. the date(s) THIS DEFENDANT first MARKETed amosite 5 asbestos fiber; 6 c. the date(s) THIS DEFENDANT ceased MARKETing amosite 7 asbestos fiber; 8 d. the grade(s) of such amosite asbestos fiber MARKETed by 9 THIS DEFENDANT; 10 e. the recommended use(s) of each grade of such amosite
n asbestos fiber, including any temperature limits;
12 f. the name(s) and address(es) of the supplier(s) of 13 amosite asbestos fiber, to THIS DEFENDANT. 14 ANSWER: 15 Without waiving its general objections. Defendant KELLY16 MOORE responds as follows: 17 NO.
18 19 INTERROGATORY NO. 8:
20 Has THIS DEFENDANT engaged in the MARKETing of ASBESTOS21 CONTAINING PRODUCTS comprised in whole or in part of chrysotile
22 asbestos fiber; if so, please state:
23 a. the trade, brand name and/or generic name of each type
24 of product;
25 b. the date(s) THIS DEFENDANT first MARKETed each type of
26 product;
27 c. the date(s) THIS DEFENDANT ceased MARKETing each type of
28 product; use ;co
10
s
1 d. a general description of the chemical composition of
2 each type of product, including:
3 (i) the type(s) and grade(s) of asbestos fiber
4 contained in each type of product;
5
(ii)
the quantitative percentage of the types of
6 asbestos fiber in each type of product?
7 (iii) any change(s) in the quantitative percentages of
8 the type(s) of asbestos fiber in each type of product;
9 e. the NATURE of each type of product?
10 f. a description of any wording, markings, and/or logo on
11 each type of product?
12 g. the recommended use(s) of each type of product,
13 including temperature limits?
14 h. the name of the manufacturer of each type of product?
15 i. the name(s) and address(es) of the supplier(s) of the
16 chrysotile asbestos fiber used in each type of product;
17 j. the IDENTITY of the person(s) most knowledgeable
18 concerning the purchase of chrysotile asbestos fiber by THIS
19 DEFENDANT.
20 ANSWERS
21 Without waiving its general objections. Defendant KELLY-
22 MOORE responds as follows:
23 a. - g. Please see attached chart.
24 h. Kelly-Moore Paint Company, Inc./Paco Textures Corp.
25 i. Johns Manville, Carey Canada, and Union Carbide.
26 j. Douglas Wayne Merrill, Plant Manager.
27
28 ///
'.Sf .
11
P
r(ao) d
u
c
tO
n
(b) M arket
0
e
>1
0a
o a
0k
9
t9 s
X
>P M
H-* \IO OO'
zz H-O ft ft sr a
h
3X
->
\
>--1 w \ 0 GO
a 9a a *< x
2-J >>-> HH- to o t9- cM
T3
nc cc T3J H?Tc0 w1 30 a3
X ac 0n Cw
H9o-J-
39 ----
0
3 ft
U33
a
3
30
1t--O>
h-
\ OO'
OW'
3X
* \>0
0o0
HfXt*
OZ ft
O' to 3* a
M0
3
c39T 3
M H*
\
tO
\00 \
0 3
N,
0O0
000
*3 tS
3(- to =3r-
0o 3
>0
aaaK* 3
vO
3 0
0
T0C03
TO033
O
C3a
OOa ft 3ft
3a
HtO*
h-
hto
\
O'
O
\
O'
00
M to 00 M
z>- z0 ft ft 3
HZ* Z0 f3t ft
aa
ha
h
a
33
M
tto
H10*
\ S 4
to M O
0 O'
Ss
>4 0 -J 0
(c) W ithdraw n
A s b e s to s D isco n tin u e d
(d )i (d )ii
D e scrip tio n
C o lo r
0
tO1
n3H n*90
O'*< Zt
#Oi*
fHt* X
H*
Oto 03i*lH*!o K1
Oft O 35 ft X
to H> O'3
O1 Q3n O*n< w*< *0 #OM9kt-Qa9H<
01
O'
n3H*
0fi
*<
v4
00
0
too
fk*- a<
t-
9
h
O1 Q3OH
OKK
Ut9< *0 totfk9-t*oa9Hx
O010 Q3*O<n *w*a< o tofth9*t-oa9H
OO' Q3 >OH<
*t0f<aht* f9*
*0a9H0
0 0 a t* . a Hi rt 1 9X
3Hft 9
3 O Hi a Hi ft 1 3*
ft 9
On OH
Xa9*<9t
H a31 i33ft 9
0 O
Q t*
Ia
Hi 1
9H 3ZH-
ft
9
A* H9 9M K >-
0 00 X
$a 0h 9
H
>0 A 0 Ha aK a hh a31
i3 3 ft 9
00 AH
Xa
aK
9 H
h
a3 3<1
ft
9
a a Hft t *e
3a 9ft f3t 9x *0o 0n
h*
<
9 h
3e*0t*<t
0 9 h- h 3 a
0 3 H0 3 V
q uOi .a o 3aa *3Q
tj
O' to
1 3
O'
0>
3
*M
00
m31 <1a0-
TaJ Oft 0ft Ta3 H- 3 3 H-
M -
a0tq u0H3ft-TKaCJ aa8
0n
aH<
S. 39
H>aa
3a
3 t-
3 rt 3
*OO q
90ft 9
9
0
a Ha
9nt-<<0t
0H
a 90
3
w* 0t
3
0 rt
3
a w3n
a3 9ft
9x *0o
0 h
MX rCfOH*ft
OO 93 HH-i3fl *a0
3 t*
tn
OOUQ
a
3
v3O
a*
q
to (J1 l
h-
3
3a
0
a CB C4 tq
3909
a 00
<t X9
h3ft*
3
O9 W
3 A9
*q O* 9S9 33H-
03 3 ^30
to uit
-
3
3 a
0
cn 3 H- 31-fc H
0
0a
9
3
0m 0m*0
M a
Ha 9H h>
99
9 3a
0 0a
3a CD 0H 9
33 a3
O9
sss tran
O
9
*0 a
3
a
*q 3 ca lH-<*
to
<
-
3
3a
0
into.
003*50
*q
a 3a
H>
0
3 3a
9CD
ga5 35 aH
0
<9H h339H H*
tq Oi39aaH3.* 3
0
q
rt
c9
a
0H
a *90
9
3
to
1/1
t
H*
3
3a
0
0 q
a 3a hOO O
0333a**0caa<
39ft*Oa3
X
99
an
09H<
cq 39a
h3- aaH-
33
9HH-
O 3
0H
a *0
q 3 9
to
01 1 t-< 3
3 a
(9)
Use
W eight
In te rro g a to ry No. 8 (c o n td ):
P
r(ao) d
u
p 0 P *0 x- s X X X
ma
0
0
0
t-< a a a
9 c cc
0 o oo
n ft ft ft
s Ul to to ft f>J Ui to
9 X* u> u*
ft
w M i-- l- vo vo VO VO
-4 4 4 o* A * to w
o BJ A 0 xam ft Xft 3 X vfl
o -- ft
X ft C
ft
t-1 *o Ov *
39 03 ft a
x- p 3 X-
3 O X9 to M 3* X* i-h . --*
a 3
x
3 Q 3
3 C 0m ft 9
ft t- ft 3 ft
X o 9H
ft X- X H. ft c
X ft
a 3 jr
3 g c
3
--H O 3 ft 9oX t- ft ft X- C r*> X- X 0 3ft X 3 *0 X- 9 9X --3
ft
C 3 X* 3 0 3
Z CD 9 A x> am ft ft -J X ft
X > ft --c
X ft
M to \ CTv o
p ft 9 a *<
2 xX
0 o p X 3 vft
>o ov <4
c
tO
n
(b) M arket
(c) W ithdraw n
Use o f
A s b e s to s D iscontinued
by 1978
(Dd )ie s( dc) ii
r i p t i o n C o l o r(gU s e W e i g h t)
a 3X
3
Zz
x0
ff-
a
zz
Xo
Sa "
s
X
zo
S*
a
5 g
3X9
x9
3
x
9
3
O' c m M x
Cft 3Sr
o 4
O 4
VO Cl
a 3o
CD 00 OD
Xa-s2
30ft
zz
XO
ax
9 3
Ul \ VO \
O4D
zz Xft f0t aO' X9
3
M S w S
O4D
H* z z
VO
OeD
1ft-0ft
y
a
x
93
x to \\
mM to M
\\
O4D <4
zz Xft fot
O'
a
X 9 3
to
\ H X
\C4D
zz
Xo 5*
a
t 9 3
X \ X *
\C4D
oo .33**3X
oa g
ft xa x x
o3 a
s x
O *3 S' 9 XX < 3 a ft 0 ft X X ft
o
w
VO D *3
9 X 3 ft
Q *3 S9 XX
*< 3
ft O ft
X x
ft
ft *3
S' 9 1 X
*< 3
a ft o t x x
ft
o0 t1 4 OI
(/V
P 9 X
3 ft
t->
0* *3 9 t*>
3 ft
o ft o
. >o oo o
a*D ft -- H> ft
o ft o i sx JHK
*< -j a *3 #0 Q
ft t-a H* ft ft t|
ft o 1 SX OV H*<
*< o a *e
#OQ ft
i-- a t-
on
o o SM <7V H *<
<
-j a *o
too ft
H-a
w ft n
zo S MV 1-- M* ft 1
ft
_S 0 M-
Q ft
aC ft
ft 0 HH
3 O g Hi H aI
ft HS
H* ft
ft
3 O g Hi
Hi ai ft HS
1--
ft ft
3 O Q Hi
Hi at ft Xs
1--
ft ft
ft a SH S H v< X a *e too
ft h* a t- ft ft H
*o o 0 Hi Hi ai ft HS
e<t ft
ftp 1 sX to X ft
v< 1 Old s ^ 0 H*
ft X Htft
POO 9 X Hi a Hi ft < I ft ft
h> y t- H* g ft ft
p s H ft M ui x- x- H
H- 9
M ft o e O 3 3 ft
ma
0
X 3X
vQ ft X
M H*
o
1 a Hi P B ft ft
9 X X X* 9 X C
3 0 ft o 9 X- X
ft p 3 X- ft 3 0 ft
X- a O
a ft X
X H*
3 ft Hi
ft t-
ft m 0 0
9 ft ft X
X ft ft X ft X-
3 t-
P
X U* W v/i x* UV t-
9 11
11
11
vQ vO vO vft vO vO iQ
99
99
99
M H*
- M
*ww
111 MMM s cr s
9 0H 3 ft ft a it x
ft x* ft C O ft X 3 ft
0 P Ul
o 0 p
NJ Ul 1 HO'
90 3 ft ft a it x
ft t- ft c a X O 3 ft
0 P Ul
o p
to
1 ** O'
9 0 x) 3 ft ft a it x
It MAC ft X 3 ft
P Ul
o 0
p
to
1 X* O'
M0M* ft 3 9 ft ft M
ft M PAX
ft X- ft 3 0ft
XX
O C X P ft
90 33 a
1/1 to
11 h- X* O' O'
M0
o ft 0 0 0 0 ft X M X-
p ft
ft
ft 3 O a 3'
3 P Hi O
W 0 9 ft
Ul
o3
am
0
P y3 a O H9
9 9 ft x-
3 XXM aa i
O' Ul
ti N- -* yy
o *0 *0 *0 *0 *0
sss
O'
O'
0*
ay
t" X-9 9
99
99
999
9
9
9
99
H- H- H* H*
ifliflifl
vO
vfl
vfl
v
*0 o 9 it x- 3
1 INTERROGATORY NO. 9:
2 Has THIS DEFENDANT engaged in the MARKETing of chrysotile
3 asbestos fiber; if so, please state:
4 a. the name and location of each chrysotile asbestos mine
5 which THIS DEFENDANT presently operates, has operated, or in
6 which THIS DEFENDANT has or had an ownershp interest, including
7 dates of such ownership, and the grade of chrysotile asbestos
8 fiber mined?
9 b. the date(s) THIS DEFENDANT first MARKETed chrysotile
10 asbestos fiber;
-'
11 c. the date(s) THIS DEFENDANT ceased MARKETing chrysotile
12 asbestos fiber;
.
13 d. the grade(s) of such chrysotile asbestos fiber MARKETed
14 by THIS DEFENDANT;
15 e. the recommended use(s) of each grade of such chrysotile
16 asbsetos fiber, including temperature limits;
17 f. the name(s) and address(es) of the supplier(s) of
18 chrysotile asbestos fiber to THIS DEFENDANT.
19 answer:
20. Without waiving its general objections. Defendant KELLY-
21 MOORE responds as follows:
22 NO.
23 24 INTERROGATORY NO. 10: 25 Has THIS DEFENDANT engaged in the MARKETing of ASBESTOS26 CONTAINING PRODUCTS comprised in whole or in part of crocidolite 27 asbestos fiber? if so, please state: 28 ///
: l.
12
1 a. the trade, brand name and/or generic name of each type
2 of product?
3 b. the date(s) THIS DEFENDANT first MARKETed each type of
4 product;
5 c. the date(s) THIS DEFENDANT ceased MARKETing each type of 6 product;
7 d. a general description of the chemical composition of
8 each type of product, including:
9 (i) the type(s) and grade(s) of asbestos fiber
10 contained in each type of product?
n (ii) the quantitative percentage of the type(s) of
12 fiber in each type of product?
13 (iii) any change(s) in the quantitative percentages of
14 the type(s) of asbestos fiber in each type of product;
15 e. the NATURE of each type of product?
16 f. a description of any wording, markings and/or logo on
17 each type of product?
18 g. the recommended use(s) of each type of product,
19 including temperature limits?
20. h. the name of the manufacturer of each type of product?
21 i. the name(s) and address(es) of the supplier(s) of the
22 crocidolite asbestos fiber used in each type of product?
23 j. the IDENTITY of the person(s) most knowledgeable
24 concerning the purchase of crocidolite asbestos fiber by THIS
25 DEFENDANT.
26 ANSWER:
27 Without waiving its general objections, Defendant KELLY-
28 MOORE responds as follows:
USt 10
13
1 NO.
2 3 INTERROGATORY NO. 11: 4 Has THIS DEFENDANT engaged in the MARKET ing of croc idol ite 5 asbestos fiber; if so, please state: 6 a. the name and location of each crocidolite asbestos mine 7 which THIS DEFENDANT presently operates, has operated, in the, 8 and/or in which THIS DEFENDANT has or had an ownershp interest, 9 including dates of such ownership, and the grade of asbestos 10 fiber mined; 11 b. the date(s) THIS DEFENDANT first MARKETed crocidolite 12 asbestos fiber; 13 c. the date(s) THIS DEFENDANT ceased MARKETing crocidolite 14 asbestos fiber; 15 d. the grade(s) of such crocidolite asbestos fiber MARKETed 16 by THIS DEFENDANT; 17 e. the recommended use(s) of each grade of such crocidolite 18 asbsetos fiber, including temperature limits; 19 f. the name(s) and address(es) of the supplier(s) of 20 crocidolite asbestos fiber to THIS DEFENDANT.
21 ANSWER: 22 Without waiving its general objections. Defendant KELLY23 MOORE responds as follows: 24 NO.
25 26 INTERROGATORY NO. 12: 27 Does or did THIS DEFENDANT have a controlling ownership 28 interest in any COMPANY which MARKETed ASBESTOS-CONTAINING
use UD
14
1 PRODUCT(S); if so, please state:
2 a. the name of such COMPANY; 3 b. the date of incorporation of such COMPANY? 4 c. the state of incorporation of such COMPANY? 5 d. the date such interest was acquired? 6 e. the date such interest was changed or terminated, if 7 applicable? 8 f. the name and location of each facility of such COMPANY; 9 g. the name of each type of ASBESTOS-CONTAINING PRODUCT(S) 10 manufactured, processed, and/or assembled by such COMPANY. 11 ANSWER: 12 Without waiving its general objections, Defendant KELLY13 MOORE responds as follows: 14 NO.
15
16 INTERROGATORY NO. 13:
17 Does or did THIS DEFENDANT have a controlling ownership
18 interest in any COMPANY that MARKETed RAW ASBESTOS FIBER? if so,
19 please state:
20. a. the name of such COMPANY?
21 b. the date of incorporation of such COMPANY?
22
c. the state or country of incorporation of such COMPANY?
)
23 d. the date such interest was acquired;
24 e. the dates such interest was changed or terminated, if
25 applicable?
26 f. the name and location of each asbestos mine owned of
27 such COMPANY;
28 ///
uSt lO
15
g. the grade and type of RAW ASEESTOS FIBER mined at each
1
2 mine. 3 ANSWER: 4 Without waiving its general objections. Defendant KELLY5 MOORE responds as follows: 6 NO.
7 8 INTERROGATORY NO. 14: 9 Has THIS DEFENDANT warehoused any RAW ASBESTOS FIBER or 10 ASBESTOS-CONTAINING PRODUCT(S) in the State of California; if so, 11 please state: 12 a. the address of each warehouse facility; 13 b. the year(s) THIS DEFENDANT utilized each facility; 14 c. the IDENTITY of the custodian of warehousing records. 15 ANSWER: 16 Without waiving its general objections, Defendant KELLY17 MOORE responds as follows: 18 Not Applicable.
19
20. INTERROGATORY NO. 15:
21 Has THIS DEFENDANT owned or operated facilities anywhere in
22 the United States in which ASBESTOS-CONTAINING PRODUCT(S) have
23 been manufactured, processed and/or assembled; if so, state:
24 a. the address of each such facility, including city and
25 state.
26 ANSWER:
27 Without waiving its general objections, Defendant KELLY-
28 MOORE responds as follows:
USfc ID
16
1. Kelly-Moore Paint Company, Inc., 987 Commercial Street,
1
2 San Carlos, California 94070. 3 2. Kelly-Moore Paint Company, Inc., 301 West Hurst Blvd., 4 Hurst, Texas 75053. 5 3. Kelly-Moore Paint Company, Inc., 3600 East 45th Avenue, 6 Denver, Colorado 80216. 7 4. Kelly-Moore Paint Company, Inc., 11200 Kirkland Way, 8 Kirkland, Washington 98033. 9 5. Kelly-Moore Paint Company, Inc., West Kenosha Street, 10 Broken Arrow, Oklahoma 74012. 11 6. Kelly-Moore Paint Company, Inc., The Alameda, Houston, 12 Texas. 13 7. Kelly-Moore Paint Company, Inc., 1400 Campus Drive, 14 Ontario, California 91764.
15 16 INTERROGATORY NO. 16: 17 If THIS DEFENDANT owned or operated facilities in which 18 ASBESTOS-CONTAINING PRODUCT(S) have been manufactured, processed 19 and/or assembled, please state: 20. a. the date said facilities began operation; 21 b. the date said facilities ceased operation; and 22 c. the name of each type of ASBESTOS-CONTAINING PRODUCT 23 manufactured, processed or assembled at each such facility. 24 ANSWER: 25 Without waiving its general objections, Defendant KELLY26 MOORE responds as follows: 27 1. a. December 1960. 28 b. March 1978.
use HO
17
1 c. Please see attached chart. 2 2 a. As far as Defendant is aware, 1970. 3 b. As far as Defendant is aware, 1977. 4 c. Unknown. 5 3. a. As far as Defendant is aware. 1971. 6 b. As far as Defendant is aware, 1976. 7 c. Drywall products. 8 4. a. As far as Defendant is aware, 1969. 9 b. As far as Defendant is aware, 1972. 10 c. Drywall products. 11 5. a. As far as Defendant is aware, 1969. 12 b. As far as Defendant is aware, 1977. 13 c. Drywall products. 14 6. a. As far as Defendant is aware. 1967. 15 b. As far as Defendant is aware, 1974. 16 c. Drywall products. 17 7. a. As far as Defendant is aware, 1968. 18 b. Unknown? not operating at present. 19 c. Drywall products.
20 21 INTERROGATORY NO. 17: 22 Has THIS DEFENDANT purchased or otherwise aguired any rights 23 to the manufacture of ASBESTOS-CONTAINING PRODUCT(S) from another 24 COMPANY? If so, state: 25 a. the date of purchase or acquisition of such rights? 26 b. the trade, brand, and/or generic name of such ASBESTOS27 CONTAINING PRODUCT(S);
28 ///
ust
to
18
1 c. the name and location of any COMPANY from which such
2 rights were purchased or acquired; 3 d. the IDENTITY of the custodian of records of such 4 purchase(s) or acquisition(s) . 5 ANSWER: 6 Without waiving its general objections. Defendant KELLY7 MOORE responds as follows: 8 NO.
9 10 INTERROGATORY NO. 18:
11 Has THIS DEFENDANT applied for and/or received any patent(s) 12 for any ASBESTOS-CONTAINING PRODUCT(S). If so, state for each
13 such ASBESTOS-CONTAINING PRODUCT:
14 a. the product for which each patent was applied and/or
15 issued;
.
16 b. the date(s) of application;
17 c. the date(s) of issuance of the patent(s), if granted;
18 d. the date(s) of renewal, if any?
19 e. the patent number(s);
20 f. the size and color, which appeared on the packaging or co
21 Which THIS DEFENDANT sold and/or distributed RAW ASBESTOS FIBER.
22 ANSWER:
23 Without waiving its general objections, Defendant KELLY-
24 MOORE responds as follows:
25 Not Applicable.
26 27 ///
28 ///
use
to
19
INTERROGATORY NO. 19:
1
2 Has THIS DEFENDANT registered any trademark(s) for any 3 ASBESTOS-CONTAINING PRODUCT(S); if so, state for each such 4 ASBESTOS-CONTAINING PRODUCT:
5 a. the product for which each trademark was registered?
6 b. whether the registration was State or Federal? 7 (i) if State, name the State?
8 c. the date(s) or registration? 9 d. the term(s) thereof? 10 e. the date(s) of renewal? 11 f. the name of the individual or COMPANY to whom each 12 trademark was registered;
13 g. the IDENTITY of the custodian of such trademark records
14 of THIS DEFENDANT.
15 ANSWER:
16 Without waiving its general objections, Defendant KELLY-
17 MOORE responds as follows:
18 a. Trademark registered for Kelly-Moore*s asbestos-
19 containing products is under the name Paco. Each of the specific
20 products are listed in Chart attached to Answer to Interrogatory
21 No. 16.
22 b. Federal.
23 c. July 23, 1963.
24 d. Paco Textures Corporation owns U.S. Reg. No. 753,175
25 that was granted on July 23, 1963 for Paco.
Paco Textures
26 Corporation, assigns and transfer to Kelly-Moore Paint Company
27 all rights, title and interest in Reg. No. 753,175.
28 ///
use no
20
1 e. Every 20 years the trademark is renewed; last renewal 2 was July 23, 1983. 3 f. KELLY-MOORE PAINT COMPANY, INC. A g. John Bacigalupo.
5 6 INTERROGATORY NO. 20; 7 Did THIS DEFENDANT contract with the General Services 8 Administration and/or other federal-government agency for the 9 sale, anywhere in the United States, or RAW ASBESTOS FIBER 10 between 1930 and 1980; if so, state for each such sale: U a. the grade(s) and type(s) of RAW ASBESTOS FIBER; 12 b. the quantity; 13 c. the date(s) of delivery; 14 d. the location(s), including the address(es) of delivery; 15 e. the name(s) of the agency with which THIS DEFENDANT 16 contracted; 17 f. the date(s) of execution of such contract(s); 18 g. the IDENTITY of the custodian of such contract records 19 of THIS DEFENDANT. 20 answer: 21 Without waiving its general objections, Defendant KELLY22 MOORE responds as follows: 23 NO.
24
25 INTERROGATORY NO. 21:
26 Did THIS DEFENDANT contract with the General Services
27 Administration and/or other federal-government agency for the
28 sale, anywhere in the United States, of ASBESTOS-CONTAINING
USE.
HO
AT<0*
21
1 PRODUCT(S) between 1930 and 1980, please state for each such 2 sale: 3 a. the type of product; 4 b. the quantity; 5 c. the date(s) of delivery; 6 d. the location(s), including the address(es) of delivery; 7 e. the name(s) of the agency with which THIS DEFENDANT 8 contracted; 9 f. the date(s) of execution of such contract(s); 10 g. the IDENTITY of the custodian of such contract records 11 of THIS DEFENDANT. 12 ANSWER: 13 Without waiving its general objections. Defendant KELLY14 MOORE responds as follows: 15 NO.
16
17 INTERROGATORY NO. 22:
18 Does THIS DEFENDANT have any records of the MARKETing,
19 advertisement, or delivery of its RAW ASBESTOS FIBER and/or
20 ASBESTOS-CONTAINING PRODUCT(S) in or to NORTHERN CALIFORNIA?
If
21 so, state:
22 a. the manner in which the records are kept, (e.g,, in
i
23 boxes, files, on microfilm, microfiche or computer tape or disk);
24 b. the location(s) and address(es) where such records are
25 maintained;
26 c. the IDENTITY of the custodian of such records.
27 ///
28 ///
to 22
* c**
w
1 ANSWER:
2 Without waiving its general objections, Defendant KELLY3 MOORE responds as follows: 4 a. In boxes and in files in storage room. 5 b. 987 Commercial Street, San Carlos, California. 6 c. Douglas Wayne Merrill.
7
8 INTERROGATORY HO. 23:
9 If THIS DEFENDANT has in its possession any records of the
10 MARKETing, advertisement, or delivery of its RAW ASBESTOS FIBER
11 and/or ASBESTOS-CONTAINING PRODUCTS
(including microfilm,
12 microfiche, computer tape or disk, or any other system in which
13 data is taken from other records), state whether THIS DEFENDANT
14 has retained the original DOCUMENTS from which the data entered
15 into these modes of storage was obtained. If THIS DEFENDANT has
16 not retained such original DOCUMENTS, state:
17 a. the date(s) when and location(s) where the original
18 DOCUMENTS were disposed of;
19 b. the IDENTITY of the custodian of the original DOCUMENTS
20 at the time of their disposal.
21 ANSWER!
22 Without waiving its general objections, Defendant KELLY-
23 MOORE responds as follows:
24 Not Applicable.
25
26 ///
27 ///
28 ///
USE. :lD
23
1 INTERROGATORY NO. 24:
2 Does THIS DEFENDANT have in its possession any exemplar(s)
3 of advertisements or brochures describing its RAW ASBESTOS FIBER 4 and/or ASBESTOS-CONTAINING PRODUCTS; if so, please state:
5 a. the location of each exemplar; 6 b. the year(s) in which said exemplar(s) was utilized;
7 c. the IDENTITY of the custodian of such exemplars.
8 ANSWER:
9 Without waiving its general objections, Defendant KELLY-
10 MOORE responds as follows:
.
n a. 1015 Commercial Street, San Carlos, California.
12 b. Unknown; sometime between 1961 and 1977.
13 c. Douglas Wayne Merrill.
14 15 INTERROGATORY NO. 25i 16 State the following: 17 a. the address(es) where the corporate records of THIS 18 DEFENDANT (including minutes from the Board of Directors meetings 19 and corporation annual reports), are currently located; 20 b. the IDENTITY of the custodian of such records. 21 ANSWER: 22 Without waiving its general objections. Defendant KELLY 23 MOORE responds as follows: 24 a. 987 Commercial Street, San Carlos, California. 25 b. John Bacigalupo.
26
27 ///
28 ///
USl
nc
24
INTERROGATORY NO. 26:
1
2 Describe the packaging or containers in which THIS DEFENDANT
3 sold and/or distributed RAW ASBESTOS FIBER,
including
4 composition, dimension, shape and color.
5 ANSWER:
6 Without waiving its general objections, Defendant KELLY-
7 MOORE responds as follows:
8 Not Applicable.
9 10 INTERROGATORY NO. 27:
n Describe any logo, design, marking or printing, including
12 size and color, which appeared on the packaging or containers in 13 which THIS DEFENDANT sold and/or distributed RAW ASBESTOS FIBER. 14 ANSWER: 15 Without waiving its general objections. Defendant KELLY16 MOORE responds as follows: 17 Not Applicable.
18 19 INTERROGATORY NO, 28: 20 Describe the packaging or containers in which THIS DEFENDANT 21 sold and/or distributed ASBESTOS-CONTAINING PRODUCT(S), including 22 composition, dimension, shape and color. 23 ANSWER: 24 Without waiving its general objections, Defendant KELLY25 MOORE responds as follows: 26 Please see attached chart.
27 28 ///
US:
S'-U
25
1 INTERROGATORY NO. 29: 2 Describe any logo, design, marking or printing, including 3 size and color, which appeared on the packaging or containers in 4 which THIS DEFENDANT sold and/or distributed ASBESTOS-CONTAINING 5 PRODUCT(S). 6 ANSWER: 7 Without waiving its general objections. Defendant KELLY8 MOORE responds as follows: 9 A picture or sample of most asbestos-containing products has 10 been retained at Kelly-Moore Paint Company, Inc. at 987 11 Commercial Street, San Carlos, California. They are available 12 for review. The markings differed for each product.
13
14 INTERROGATORY NO, 30:
15 Does THIS DEFENDANT have any exemplar(s) of packaging or
16 containers in which its RAW ASBESTOS FIBER and/or ASBESTOS-
17 CONTAINING PRODUCT(S) were sold and/or distributed; if so, state:
18 a. the location of each exemplar;
19 b. the year(s) in which said exemplar(s) was utilized;
2 c. the IDENTITY of the custodian of such exemplars.
21 answer:
22
Without waiving its general objections. Defendant KELLY!
23 MOORE responds as follows:
24 a. 987 Commercial Street, San Carlos, California.
25 b. Unknown; sometime between 1961 and 1977; differed for
26 each product.
'
27 c. Douglas Wayne Merrill.
28
USE.
:i0 26
OS
INTERROGATORY NO. 31:
1
Did THIS DEFENDANT put warnings of asbestos-related health
2
3 hazards on bags of RAW ASBESTOS FIBER; if so, please state:
4
a. the wording of such warning(s),
including size,
5 location, and color?
6 b. whether the warning was put on a tag attached to the
7 bags ?
8 c. the date such warning(s) was first used?
9 d. whether any change was made in the wording of such
10 warnings, the date(s) of such change, and the reasons for such
11 change * 12 ANSWER:
13 Without waiving its general objections, Defendant KELLY-
14 MOORE responds as follows:
15 Not Applicable.
16
17 18 INTERROGATORY NO. 32: 19 Did THIS DEFENDANT put warnings of asbestos-related health
hazards on the packaging or containers of ASBESTOS-CONTAINING
20
21 PRODUCT(S)? If so, please state: 22 a. the working of such warnings, including si2e, location 23 on the packaging or containers, and color: 24 b. the date such warning(s) was first used; 25 c. whether any change was made in the wording of such 26 warning(s), the *date(s) of such change, and the reason(s) for 27 such change. 28 ///
: 10 *t.Oh <96
27
1 ANSWER;
2 Without waiving its general objections, Defendant KELLY3 MOORE responds as follows: 4 a. Warnings were printed to read: 5 CAUTION - READ BEFORE USING
CONTAINS ASBESTOS FIBERS 6 AVOID BREATHING DUST
BREATHING ASBESTOS DUST MAY CAUSE BODILY HARM 7
Warning size; 1-1/2" x 3-1/2" or larger. 8 9 b. November 1972.
10
11 INTERROGATORY NO. 33:
12 Has THIS DEFENDANT distributed any brochures or pamphlets
13 that contain warnings of any asbestos-related health hazards; if
14 so, please state:
15 a. the wording of such warning?
16 b. the method used to distribute such brochures or
17 pamphlets?
18 c. the date(s) such brochures or pamphlets were first
19 issued;
20 d. whether THIS DEFENDANT has exemplar(s) of such brochures
21 or pamphlets;
22
e. the IDENTITY of the custodian of such exemplar(s) . i
23 ANSWER:
24 Without waiving its general objections, Defendant KELLY-
25 MOORE responds as follows:
26 Please refer to Interrogatory No. 32.
27
28 ///
ust.
: 10
4I.QN
28
1 INTERROGATORY NO. 34:
2 Did THIS DEFENDANT warn its employees and/or' CONTRACT 3 UNIT(S), anywhere in the United States, that exposure to asbestos 4 could be hazardous to human health. If so, state:
5 a. whether copies of DOCUMENTS containing such warnings
6 exist; 7 b. the IDENTITY of the custodian of such DOCUMENTS.
8 ANSWER: 9 Without waiving its general objections, Defendant KELLY-
10 MOORE responds as follows:
.
11 a. Yes.
12 b. Douglas Wayne Merrill, 1015 Commercial Street, San
13 Carlos, California.
14 15 INTERROGATORY NO. 35: 16 State the IDENTITY of medical directors and/or industrial 17 hygienists retained by THIS DEFENDANT in the United States. 18 ANSWER: 19 Without waiving its general objections. Defendant KELLY20 MOORE responds as follows:
21 Not Applicable.
22 23 INTERROGATORY NO. 36:
24 Has any employee of THIS DEFENDANT testified by deposition
25 on behalf of THIS DEFENDANT in a third-party case, brought in the
26 United States, wherein the plaintiff has alleged an asbestos-
27 related injury? If so, for each such third party case, please
28 state:
USE 10
29
V**.
1 a. the caption and case number;
2 b. the court of filing including state and county;
3 c. the date of the deposition;
4 d. the name and address of plaintiff's counsel of record.
5 ANSWER:
6 Without waiving its general objections. Defendant KELLY-
7 MOORE responds as follows:
8 1. a. Pete A. Fairl v. Western MacArthur Company, et al.. 9 Action NO. 296985.
10 b. State of California, County of Sacramento. 11 c. October 8, 1984.
12 d. George w. Kilbourne, Attorney at Law, 3755 Alhambra
13 Avenue, Martinez, California 94553.
14 2. a. In Re: Clapper & Bravton Shipyard & Applicator
15 Asbestos Cases Consolidated for Discovery. Action
16 Nos. Misc. 959 (Sol) & 804416 (SF); James H.
17 Williams v. Abex Corp.. et al.. Action No. 584329-1
18 (Ala)? Southwall Price v. Abex Corp., et al..
19 Action No. 584328-2 (Ala)7 Robert Dixon v. Abex
20 Corp.. et al,. Action No. 584327-3 (Ala); Tommy
21 Dixon v. Abex Corp., et al.. Action No. 585105
22 (Alameda); and Katherine & Joseph Maksim v. JohnsI
23 Manville, et al.. Action No. 768674 (SF).
24
b. State of California, Counties of Solano,
San
25 Francisco and Alameda. 26 c. November 1, 1984.
27 d. Alan R. Brayton, 999 Grant Avenue, Novato, CA
28 94948.
use.
(.0 At.ON
30
1 2 INTERROGATORY NO. 37
3 Has THIS DEFENDANT been a member of the following:
4 a. Asbestos Textile Institute (ATI);
5 b. Industrial Hygiene Foundation and/or Industrial Health
6 Foundation (IHF)?
7 c. Mineral Wool Institute?
8 d. Industrial Mineral Insulation Manufacturers Institute; 9 e. Magnesia Silica Insulation Manufacturers Association;
10 f. National Insulation Manufacturers Association (NIMA);
11 g. Thermal Insulation Manufacturers Association (TIMA)?
12 h. Asbestos Information Association (AIA);
13 1. Quebec Asbestos Mining Association (QAMA);
14 j. National Safety Council;
15 k. Asbestos Cement Producers Association;
16 l. Refractories Institute;
17
m. any
other
organizations or
associations
of
18 manufacturers,
miners, distributors,
importers,
labellers,
19 suppliers and/or sellers of ASBESTOS-CONTAINING PRODUCTS?
20 (i) please state the name(s) of such organizations or
21 associations
22 answer:
23 Without waiving its general objections, Defendant KELLY-
24 MOORE responds as follows:
25 a. - m. No.
26 (i) Not Applicable.
27
28 ///
us*
:10
31
1 INTERROGATORY NO. 38:
2 For each organization, association or other entity
3 identified in your Response to Interrogatory No. 37, please
4 state:
5 a. the dates during which THIS DEFENDANT was a member;
6 b. the name(s) of any publication(s) received by THIS
7 DEFENDANT from such association or organization?
8 c. the name of such committee or subcommittee of which THIS
9 DEFENDANT was a member, and the dates of such committee or
10 subcommittee membership.
.
U ANSWER:
12 Without waiving its general objections. Defendant KELLY-
13 MOORE responds as follows:
14 Not Applicable.
15
16 INTERROGATORY HO. 39:
17 Has THIS DEFENDANT received any DOCUMENT(S) containing
18 results or conclusions of any studies and/or tests conducted by
19 the Saranac Laboratory at the Trudeau Foundation relating to the
20 human health consequences of exposure to asbestos?
If so,
21 please:
22 a. IDENTIFY all such DOCUMENT(S);
23 b. state the date upon which THIS DEFENDANT first received
24 such DOCUMENT(S)?
25 c. the IDENTITY of the custodian of such DOCUMENT(S).
26 ///
27 ///
28 /// USE
10
W
32
answer:
1
2 Without waiving its general objections. Defendant KELLY3 MOORE responds as follows: 4 NO.
5 6 INTERROGATORY NO. 40: 7 State whether THIS DEFENDANT has ever maintained a library 8 (or libraries) in the United States which contains books, 9 articles, periodicals, journals and/or reference materials that 10 relate to the subjects of asbestos, industrial hygiene, medicine, 11 safety, occupational disease and/or engineering. If so, state: 12 a. the date each such library was established; 13 b. the location of each such library? 14 c. the IDENTITY of each librarian or other person in charge 15 of such library. 16 ANSWER: 17 Without waiving its general objections, Defendant KELLY18 MOORE responds as follows: 19 NO.
20 21 INTERROGATORY MO. 41? 22 Has THIS DEFENDANT exchanged documents containing the 23 results of or communicated with any individual or other COMPANY 24 regarding tests and/or studies of the relationship between the 25 inhalation of asbestos fibers and development of disease(s); if 26 so, please state: 27 a. each individual or COMPANY with whom the information was 28 exhanged or to whom it was communicated;
USE 10
33
1 b. the date(s) of any such exchanges or communications; 2 c. the IDENTITY of the custodian of such documents. 3 ANSWER; 4 Without waiving its general objections, Defendant KELLY5 MOORE responds as follows; 6 Unknown.
7 8 INTERROGATORY NO. 42: 9 Has any employee of THIS DEFENDANT testified before the 10 Occupational Safety and Health Administration, the National 11 Institute of Occupational Safety and Health, or any committee or 12 subcommittee of the United States Congress on the inhalation of 13 asbestos dust and the development of disease; if so, please 14 state; 15 a. the entity before whom such testimony was given? 16 b. the date(s) and location(s) of such testimony? 17 c. the IDENTITY of the individual(s) who so testified; 18 d. whether any DOCUMENTS were presented to the entity 19 before which testimony was given? 20 e. whether copies of DOCUMENTS presented were retained by 21 THIS DEFENDANT? 22 (i) if so, state the IDENTITY of the custodian of the 23 DOCUMENT(S). 24 answer: 25 Without waiving its general objections, Defendant KELLY26 MOORE responds as follows: 27 NO.
28
use
1.0
34
1 INTERROGATORY NO. 43: 2 At any of the physical facilities identified in the response 3 to Interrogatory No. 15, has THIS DEFENDANT conducted, or caused 4 to be conducted, tests and/or studies of ambient asbestos dust 5 created during the manufacture, processing and/or assembling of 6 ASBESTOS-CONTAINING PRODUCT(S); if so, please state: 7 a. each manufacturing facility, including location and 8 address? at which any such test and/or study was conducted? 9 b. the date of each such test and/or study? 10 c. the individual(s) or entity conducting each such test 11 and/or study? 12 d. whether THIS DEFENDANT has any documents containing the 13 results and/or conclusions of each such study? 14 e. the IDENTITY of the custodian of the documents. 15 ANSWER: 16 Without waiving its general objections, Defendant KELLY17 MOORE responds as follows: 18 a. 987 Commercial Street, San Carlos, California and 19 possibly other locations that are unknown at this time. 20 b. Unknown. 21 c. Engineers. 22 d. The location of any documents, that may or may not be in 23 existence, are unknown. 24 e. Douglas Wayne Merrill.
25 26 INTERROGATORY NO. 44: 27 Has THIS DEFENDANT conducted, or caused to be conducted, any 28 tests and/or studies on ambient asbestos dust levels at any
35
location or job site where its ASBESTOS-CONTAINING PRODUCTS were
1
2 utilized in the United States? if so, please state: 3 a. the location, including name and address, at which each 4 such test and/or study was conducted? 5 b. the individual(s) or entity conducting each such test 6 and/or study? 7 c. the date of each such test and/or study? 8 d. whether THIS DEFENDANT has any DOCUMENTS containing the 9 results and/or conclusions of each such test and/or study? 10 e. the IDENTITY of the custodian of these DOCUMENTS.
n answer:
12 without waiving its general objections, Defendant KELLY13 MOORE responds as follows: 14 No, other than answer listed above to Interrogatory No. 43.
15
16 INTERROGATORY NO. 4B:
17 Did THIS DEFENDANT have any laboratory or other facility
18 anywhere in the United States at which it conducted, or caused to
19 be conducted, any tests and/or studies of its ASBESTOS-CONTAINING
20 PRODUCTS to measure the amount of asbestos dust generated by any
21 use for which such products were designed? if so, please state:
22 a. the location, including name and address, at which each i
23 such test and/or study was conducted?
24 b. the individual(s) or entity conducting each such test
25 and/or study?
26 c. the date of each such test and/or study?
27 d. whether THIS DEFENDANT has any DOCUMENTS containing the
28 results and/or conclusions of each such test and/or study?
uss : 10
M* 'N
36
1 e. the IDENTITY of the custodian of such DOCUMENTS. 2 ANSWER: 3 Without waiving its general objections, Defendant KELLY4 MOORE responds as follows: 5 NO.
6 7 INTERROGATORY NO. 46: 8 Has THIS DEFENDANT made available to its employees engaged 9 in the MARKETing of its RAW ASBESTOS FIBER and/or its ASBESTOS10 CONTAINING PRODUCT(S), a medical examination program? if so,
n please state:
12 a. whether chest x-rays or pulmonary function tests were 13 part of such program(s)? 14 b. whether participation in any such program was a 15 mandatory condition of employment or was voluntary? 16 (i) if mandatory as a condition of employment, how 17 frequently each employee was required to undergo such 18 examination? 19 c. whether THIS DEFENDANT has DOCUMENTS of such program? 20 d. the IDENTITY of the custodian of such DOCUMENTS. 21 ANSWER: 22 a. Yes. 23 b. Mandatory from 1972-1978? voluntary from then on. 24 (i) Unknown. 25 c. Unknown. 26 d. If such documents exist, Douglas Merrill.
27
28 ///
ase :i.O
37
* :
1 INTERROGATORY NO. 47:
2 Has THIS DEFENDANT notified in writing any individuals or
3 COMPANIES to whom it MARKETed RAW ASBESTOS FIBER and/or ASBESTOS-
4 CONTAINING PRODUCT(S), anywhere in the United States, of the
5 potential relationship between exposure to asbestos and disease;
6 if so, please state:
7 a. the date(s) THIS DEFENDANT provided this information;
8 b. the means used for transmittal of such information?
9 c. whether THIS DEFENDANT has any copies of any DOCUMENTS
10 transmitting such information?
.
11 d. the IDENTITY of the custodian of such documents.
12 ANSWER:
13 without waiving . its general objections. Defendant XELLY-
14 MOORE responds as follows:
15 No, other than what is referred to in Answer to
16 Interrogatory No. 32.
17
18 INTERROGATORY NO. 48:
19 Has THIS DEFENDANT required any individual(s) who MARKETed
20 its ASBESTOS-CONTAINING PRODUCT(S) to wear respirators or face
21 masks; if so, please state:
22 a. the job title(s), if known, of individual(s) required to
23 wear respirators or face masks?
24 b. the date(s) on which THIS DEFENDANT first required the
25 wearing of respirators or face masks;
26 c. the means by which the requirement to wear respirators
27 or face masks was communicated?
28 ///
USE : U0
38
1 d. whether THIS DEFENDANT has any copies of DOCUMENTS
2 communicating such requirements; 3 e. the IDENTITY of the custodian of such DOCUMENTS. 4 ANSWER: 5 Without waiving its general objections, Defendant KELLY6 MOORE responds as follows: 7 a. Plant workers. 8 b. Unknown. 9 c. Orally. 10 d. No. 11 e. Not Applicable
12
13 INTERROGATORY NO. 49:
14 Does or did THIS DEFENDANT utilize or employ any CONTRACT
15 UNIT. If so, please state:
16 a. the inclusive periods of time the CONTRACT UNIT(S) was
17 utilized or employed?
18 b. the business address and name of the CONTRACT UNIT(S);
19 c. whether THIS DEFENDANT has any DOCUMENTS showing the
20 location(s) of the job site(s) where the CONTRACT UNIT(S) worked,
21 and if so, state the IDENTITY of the custodian of such DOCUMENTS.
22 ANSWER:
}
23 Without waiving its general objections, Defendant KELLY-
24 MOORE responds as follows:
25 NO.
26
27 ///
28 ///
use 10
39
1 INTERROGATORY NO. SO:
2 Has THIS DEFENDANT received any written communication or
3 other DOCUMENT, other than a claim for workers' compensation,
4 that any person was claiming injury as a result of exposure to
5 its RAW ASBESTOS FIBER and/or ASBESTOS-CONTAINING PRODUCT(S); if
6 so, please IDENTITY the first such written communication or
7 DOCUMENT.
8 ANSWER:
9 Without waiving its general objections. Defendant KELLY-
10 MOORE responds as follows:
11 Yes, first notice was received on or about July 30, 1977
12 when Kelly-Moore Paint Company, Inc. was served with its first
13 lawsuit.
'
14
15 INTERROGATORY NO. 51:
16 Has any person filed a claim for asbestos-related injury
17 regarding THIS DEFENDANT against any workers'
compensation
18 insurance carrier which provided coverage for THIS DEFENDANT? if
19 so, please state:
20 a. the date of such claim?
21 b. the name of claimant?
22 c. the caption ?
23 d. the case name?
24 e. the court in which the claim was filed?
25 f- the IDENTITY of the custodian of such documents.
26 ///
27 ///
28
use.
10
AfiO*'
///
40
ANSWER:
1
2 Without waiving its general objections, Defendant KELLY3 MOORE responds as follows: 4 Not that KELLY-MOORE is aware of.
5 6 INTERROGATORY NO, 52: 7 Has any person filed a workers' compensation claim for 8 asbestos-related injury against THIS DEFENDANT; if so, please 9 state: 10 a* the date of such claim? 11 b. the name of claimant; 12 c. the caption? 13 d. the case number? 14 e. the court in which the claim was filed? 15 f. the IDENTITY of the custodian of such documents. 16 answer: 17 Without waiving its general objections, Defendant KELLY18 MOORE responds as follows: 19 At this point in time, Defendant KELLY-MOORE is aware of the 20 following: 21 WALTER R. LAWRENCE: 22 a. March 31, 1983. 23 b. Walter R. Lawrence. 24 c. Walter R. Lawrence v. PACO, et al. 25 d. OAK 92646. 26 e. WCAB, Oakland. 27 f. Douglas Merrill.
28 ///
use. \0 * *>Ok
S96
41
1 ISAAC BUSH:
2 a. March 9, 1987. 3 b. Isaac "Ike" Bush. 4 c. Isaac Bush v. Lyles Diversified, Inc., et al. 5 d. (WCAB) OAK 150427. 6 e. WCAB, Oakland. 7 f. Law Offices of Jack K. Clapper, 100 Shoreline Highway, 8 Building B, Suite 300, Mill Valley, CA 94941. 9 Safire & Lewis, Esqs., 433 Turk Street, San Francisco, 10 CA 94102.
11 12 INTERROGATORY NO. S3: 13 Does THIS DEFENDANT have insurance available to cover 14 judgment(s) entered against it in asbestos-related personal 15 injury lawsuits? if so, please state: 16 a. the name and principal place of business of any 17 insurance carrier who has issued such policy of insurance? 18 b. the number and effective date of each policy? 19 c. the amount(s) of coverage of each policy? 20 d. the applicable dates of coverage? 21 e. any reservation of rights contained in each such policy; 22 f. the amount of coverage presently exhausted under each
>
23 such policy?
24 g. the amount of coverage presently available under each
25 such policy;
26 h. whether limits contained in each such policy include
27 costs of defense.
28 ///
USE. L0
42
1 ANSWER: 2 Without waiving its general objections, Defendant KELLY3 MOORE responds as follows: 4 Please see attached list.
5
6 INTERROGATORY NO. 54:
7 Has THIS DEFENDANT owned or operated any petroleum refining
8 facilities? if so, please state:
9 a. whether any ASBESTOS-CONTAINING PRODUCT(S) WERE MARKETed
10 on the premises of such refining facilities?
,
11 b. the location, including the name and address of all such
12 refining facilities?
13 c. the dates of operation of such refining facilities?
14 d. the types of ASBESTOS-CONTAINING PRODUCT(S) MARKETed on
15 such premises?
16 e. the names of the manufacturers of any ASBESTOS-
17 CONTAINING PRODUCTS MARKETed on such premises?
18 f. whether THIS DEFENDANT has documents identifying such
19 MARKETing?
20 g. the IDENTITY of the custodian of such documents.
21 ANSWER:
22 Without waiving its general objections. Defendant KELLY-
23 MOORE responds as follows:
24 NO.
25
26 INTERROGATORY NO. 55:
27 Has THIS DEFENDANT held a controlling ownership interest in
28 any COMPANY which owned or operated petroleum refining
use
no 43
B6t * \ **40)00 - O u t * \ *j*t\ue
H M m i04 A u il< \n l `l ju Ajnuiuuy OKI **HVmoa i h i v i m o o h a t o *-
h --o m*: On *
h* n T'* c * * ^5
A X H>
S5
^ ?5
!?2
.:?3j
wo ye S*2S5t? 2 "JTS * :5.*s has^
-ls|
->is**
e,#ff
3 5 A* HA A
X -- 5 * 52
--<
Oa VI
?
* 4
-
n 39-
a
*4 9
2C
5ar 2- -i
se
*I
<3
.X- cr5-21 s-5
--.
s
c
*
2?s
rI
<*y1
M
--i
9
2C
c
A - sr
-i
9
2 * A
??
* 9a
x-- --i a
*r
2
?
9> K>*
Ic ne3 --X*
n ***
I
*"
a K
???.!&&
9 <
IssSSsss*2?X
9
f
>r
?
* o
2* o
* o
? O
r
6
a
a, V-
#
a
o e
a * 3
a a
a m 9
3 H<<
* a
*< *
a no
c*
7 9*
? a*
o
2
5
*
e
MSI3ANO .9Cs3o
cc*
I
^ S M- n~g v0
ci; ss
o `a
3
2
1
c
3
*z ne< on
x
1 facilities: if so, for the period(s) of time during which THIS 2 DEFENDANT held such interest, please state: 3 a. whether any ASBESTOS-CONTAINING PRODUCTS were MARKETed 4 on the premises of such refining facilities: 5 b. the location, including the name and address of all such 6 refining facilities; 7 c. the dates of operation of such refining facilities; 8 d. the types of ASBESTOS-CONTAINING PRODUCTS MARKETed on 9 such, premises; 10 e. the names of the manufacturers of any ASBESTOS11 CONTAINING PRODUCTS MARKETed on such premises; 12 f. whether THIS DEFENDANT has DOCUMENTS identifying such 13 MARKETing; 14 g. the IDENTITY of the custodian of such DOCUMENTS. 15 ANSWER: 16 Without waiving its general objections, Defendant KELLY17 MOORE responds as follows: 18 NO.
19 20 INTERROGATORY NO. S7S 21 Has THIS DEFENDANT contracted with any COMPANY for the 22 MARKETing of ASBESTOS-CONTAINING PRODUCT(S) on any premises owned 23 or leased by THIS DEFENDANT; if so, please state: 24 a. the location, including name and address of such 25 premises; 26 b. the name and address of each such COMPANY; 27 c. the types of ASBESTOS-CONTAINING PRODUCTS;
28 ///
USf
?lO
O*
44
1 d. the name of the manufacturers of such ASBESTOS-
2 CONTAINING PRODUCTS; 3 e. whether THIS DEFENDANT has DOCUMENTS of such MARKETing; 4 f. the IDENTITY of the custodian of such DOCUMENTS. 5 ANSWER: 6 Without waiving its general objections. Defendant KELLY7 MOORE responds as follows: 8 Not that Defendant KELLY-MOORE is aware of.
9 10 DATED 11
BURNHILL, MOREHOUSE, BURFORD, SCHOFIELD & SCHILLER, INC.
12 BY fvLCUj,
13 KATHLEEN S. FARLEY Attorneys for Defendant
14 KELLY-MOORE PAINT COMPANY, INC.
15
16
17
18
19
20
21
22
23
24
25
26
27
28
j$
45
1 VERIFICATION
2
3 I hereby declare under penalty of perjury that I am the
4 Secretary-Treasurer of KELLY-MOORE PAINT COMPANY, INC., a
5 corporation, a party in the In Re Complex Asbestos Litigation and
6 the In Re Shipyard and Applicator Asbestos Cases (Consolidated
7 for Discovery cases, and am authorized to make this Verification
8 for and on behalf of said corporation; that I have read Defendant
9 Kelly-Moore's Answers to Plaintiffs' Standard Set of
10 Interrogatories (Set No. one), and know the contents thereof, and
11 the same is true of my own knowledge, except as to matters which
12 are therein stated upon my information and belief, and as to
13 those matters I believe them to be true.
14
Executed at San Carlos, California, this
7th day of
15 June
1990.
16
17
18 19
20
21
22
23
24
25
26
27
28
i.e
1 VERIFICATION
2 3 I hereby declare under penalty of perjury that I am the
Vice President 4 Manufacturing Operatinns of KELLY-MOORE PAINT COMPANY, INC., a 5 corporation, a party in the In Re Complex Asbestos Litigation and 6 the in Re Shipyard and Applicator Asbestos Cases (Consolidated 7 for Discovery cases, and am authorized to make this Verification 8 for and on behalf of said corporation; that I have read Defendant 9 Kelly-Moore's Answers to Plaintiffs' Standard Set of 10 Interrogatories (Set No. One), and know the contents thereof, and 11 the same is true of my own knowledge, except as to matters which 12 are therein stated upon my information and belief, and as to 13 those matters I believe them to be true. 14 Executed at San Carlos, California, this 7^__________ day of 15 June1990. 16 17 18 19 20 21 22 23 24 25 26 27 28
u$: -.0
' <*
1 PROOP OP SERVICE BY MAIL
2 I declare that:
3
4 I am employed in the County of Contra Costa, I am over the
5 age of eighteen years and not a party to the within cause; my
6 business address is 1220 Oakland Boulevard, Suite 200, Walnut
7 Creek, California 94596. On June 20. 1990. I served the within
8
9 DEFENDANT KELLY-MOORE'S ANSWERS TO
10 PLAINTIFFS' STANDARD SET OF INTERROGATORIES
11
12
13 in said actions by placing a true copy of each enclosed in a
14 sealed envelope with postage thereon fully prepaid, in the United
15 States Mail at Walnut Creek, California, addressed as follows:
16
17 See attached Plaintiff Counsel and Defense Counsel lists for
18 IN RE COMPLEX ASBESTOS LITIGATION, Alameda County SC No. 607734-9
19 IN RE SHIPYARD AND APPLICATOR ASBESTOS CASES
20 (CONSOLIDATED FOR DISCOVERY), Alameda County SC No. 537868-7
21
22
23 I declare under penalty of perjury that the foregoing is
24 true and correct. Executed on June 20. 1990. at Walnut Creek, CA
25 94596.
26
27
28
USE 1C
IN RE COMPLEX ASBESTOS LITIGATION - ALAMEDA COUNTY
PLAINTIFF COUNSEL PROOF OF SERVICE
BRUCE L. AHNFELDT, ESQ., 700 Franklin Street, Napa, CA 94559
LAW OFFICES OF ROGER BALT, P.O. Box 12095, 1407 Webster Street, Suite
208, Oakland, CA 94604 BRAYTON & ASSOCIATES, 999 Grant Avenue, P.O. Box 2109, Novato, CA
94948
BROWN & FINNEY, 2033 N. Main Street, Ste 430, Walnut Creek, CA 94596
CARLSON & HUSICK, 7080 Donlon Way, Suite 222, Dublin, CA 94568
Cartwright, SLOBODIN, et al., 101 California Street, Suite 2600, San
Francisco, CA 94111
CASEY, GERRY, CASEY, et al., 110 Laurel street, San Diego, CA 92101
CASEY, GERRY, CASEY, et al., 781 Tuolumne, Vallejo, CA 94590
LAW OFFICES OF JACK K. CLAPPER, 100 Shoreline Highway, Building B,
Suite 300, Mill Valley, CA 94941
COREY & ORTON, 700 El Camino Real, Millbrae, CA 94030
DXGARDX & CAMPBELL, 436 - 14th Street, Suite 616, Oakland, CA 94612
DUDA, RAHIM & RATTO, 385 Grand Avenue, Suite 201, Oakland, CA 94610
GEORGE & BUCH, 930 S. La Brea Avenue, Los Angeles, CA 90036
CHRISTOPHER E. GRELL, ESQ*, The Monadnock Building, 685 Market
Street, Suite 340, San Francisco, CA 94105
JEFFREY B. HARRISON, ESQ., One Daniel Burnham Court, Suite 220C, San
Francisco, CA 94109
HILDEBRAND, McLEOD, et al., 414 - 13th Street, 6th Floor, Oakland, CA
94612
HOBERG, FINGER, et al., 703 Market Street, 18th Floor, San Francisco,
CA 94103
JARVIS, MILLER, et al., 221 Main Street, Suite 1001, San Francisco,
CA 94105
KAZAN & MCCLAIN, 171 Twelfth Street, Suite 300, Oakland, CA 94612
GEORGE W. KILBOURNE, ESQ., 3755 Alhambra Avenue, Suite 9, Martinez,
CA 94553
LAW OFFICES OF KENNETH L. KNAPP, 1109 Quail Street, Newport Beach, CA
92660
.
MACK, HAZELWOOD, et al., 221 Pine Street, Suite 600, San Francisco,
CA 94104
EDWIN C. MARTIN, JR., ESQ., 501 Shatto Place, Suite 100, Los Angeles,
CA 90020
MCCARTHY, JOHNSON & MILLER, 595 Market Street, Suite 2200, San
Francisco, CA 94105
PELLETREAU, MOSES, et al., 2090 - 23rd Street, Box 35, San Pablo, CA
94806
JOHN C. ROBINSON, ESQ., 940 Adams Street, Suite B, Benicia, CA 94510
ROBERT c. SCHUBERT LAW OFFICES, One Embarcadero Center, Suite 370,
San Francisco, CA 94111.mt3
SIMKE, CHODOS, et al., 6300 Wilshire Blvd., Suite 9000, Los Angeles,
CA 90048
STEMPLE 8 BOYAGIAN, 1526 Tennessee Street, Vallejo, CA 94590
STERNS & WALKER, 280 Utah Street, San Francisco, CA 94103
ROBERT E. THOMAS, ESQ., 2502 Park Blvd., Suite 200, Palo Alto, CA
94306
'
GERALD J. TIERNAN, ESQ., 165 Fell Street, San Francisco, CA 94102
WILHELM, THOMPSON, et al., 600 Allerton Street, Redwood City, CA
94063
ALP(6/14/90)
IN RE COMPLEX ASBESTOS LITIGATION - ALAMEDA COUNTY DEFENSE COUNSEL PROOF OF SERVICE
ADAMS, DUQUE & HAZELTINE, c/o Seyfarth, Shaw, et al., 101 California
street, Suite 2900, San Francisco, CA 94111
ANDERSON, GALLOWAY & LUCCHESE, 1676 N. California Blvd., Suite 500,
Walnut Creek, CA 94596
ARCHER, McCOMAS & LAGESON, 2033 N. Main Street, Suite 800, P.O. Box
8035, Walnut Creek, CA 94596
ATCHISON, TOPEKA & SANTA FE RAILWAY CO., Legal Department, One Santa
Fe Plaza, 5200 East Sheila street, Los Angeles, CA 90040
BARFIELD, dryden 8 ruane. One California Street, Suite 3125, San
Francisco, CA 94111
.
BENNETT, SAKUELSEN, et al., 1951 Webster Street, Suite 200, Oakland,
CA 94612
BERRY St BERRY, 505 - 14th Street, 12th Floor, Oakland, CA 94612
BICKEL & DIAMOND, 4 Embarcadero Center, Suite 1650, San Francisco, CA
94111 BISHOP, BARRY, et al., 465 California Street, llth Floor,, San
Francisco, CA 94104
BJORK, FLEER, et al, 483 - 9th Street, Oakland, CA 94607
BOGLE & GATES, 1400 KOIN Center, 222 S.W. Columbia, Portland, OR
97201
BRANSON, FITZGERALD & HOWARD, P.O. BOX 2189, Redwood City, CA 94064
BROBECK, PHLEGER & HARRISON, One Market Plaza, San Francisco, CA
94105
BRONSON, BRONSON 6 McKIHNON, 100 "B" Street, Suite 400, Santa Rosa,
CA 95401
CARROLL, BURDICK & McDONOUGH, 44 Montgomery Street, Suite 400, San
Francisco, CA 94104
CLAPP, MORONEY, et al., 4400 Bohannon Drive, Suite 100, Menlo Park,
CA 94025
COOLEY, GODWARD, CASTRO, HUDDLESON & TATUM, One Maritime Plaza, 20th
Floor, San Francisco, CA 94111
craddick, candland & CONTI, 915 San Ramon Valley Blvd., P.O. Box 810,
Danville, CA 94526
CROSBY, HEAFEY, ROACH St MAY, 1999 Harrison Street, Oakland, CA 94612
DERBY, COOK, QUINBY & TWEEDT, 333 Market Street, Suite 2800, San
Francisco, CA 94105
Dillingham St MURPHY, 605 Market Street, Penthouse, San Francisco, CA
94105
ERICKSEN, ARBUTHNOT, et al., 1304 Willow Street, Martinez, CA 94553
FINAN, WHITE & PAETZOLD, 150 Spear Street, Suite 1725, San Francisco,
CA 94105
'
GILLES & NTCORA, 1900 Embarcadero, Suite 201, Oakland, CA 94606
glaspy & GLASPY, 201 N. Civic Drive, Suite 245, Walnut Creek, CA
94596
GORDON & REES, Embarcadero Center West, 275 Battery Street, 20th
Floor, San Francisco, CA 94111
graham & JAMES, One Maritime Plaza, Suite 300, San Francisco, CA
94111
'
HARDIN, COOK, et al., 1999 Harrison Street, 18th Floor, Oakland, CA
94612-3508
HARRINGTON, FOXX, et al., 611 W. Sixth Street, 9th Floor, Los
Angeles, CA 90.017
ALAD(6/14/90) - 1
HASSARD, BONNINGTON, etc., 5 Fremont Center, 50 Fremont Street, Suite
3400, San Francisco, CA 94105
HILL, GENSON, EVEN, CRANDALL & WADE, 505 Shatto Place, Los Angeles,
CA 90020
HOWARD, RICE, NEMEROVISKI, CANNADY, ROBERTSON & FALK, 3 Embarcadero
Center, Suite 700, San Francisco, CA 94111
NANCY E. HUDGINS, ESQ., 605 Market Street, San Francisco, CA 94105
HYDE & FORSBLAD, 1850 Mt. Diablo Blvd., Suite 310, Walnut Creek, CA
94596
XRSFELD, IRSFELD & YOUNGER, 100 W. Broadway, Suite 900, Glendale, CA
91210
JACKSON, WALLACE & HAYDEN, 33 New Montgomery Street, 18th Floor, San
Francisco, CA 94105
JEDEIKIN, CONNOR & GREEN, 300 Montgomery Street, Suite 450, San
Francisco, CA 94104
JEFFREY & HEINMANN, 685 Market Street, Suite 1000, San Francisco, CA
94105
KINCAID, GIANUNZIO, etc., P.O. BOX 1828, Oakland, CA 94604
KINSELLA, BOESCH, et al., 1875 Century Park East, Suite 1600, Los
Angeles, CA 90067
KNOX, RICKSEN & SNOOK, 1999 Harrison Street, Suite 1700,,Oakland, CA
94612
LAW OFFICES OF JOHN LADD, 1683 Folsom Street, San Francisco, CA 94102
LANDELS, RIPLEY & DIAMOND, 450 Pacific Avenue, San Francisco, CA
94133
LATHAM & WATKINS, 633 West Fifth Street, Suite 4000, Los Angeles, CA
90071
LILLICK, KcHOSE 6 CHARLES, Two Embarcadero Center, 26th Floor, San
Francisco, CA 94111
LOW, BALL & lynch, 601 California Street, 21st Floor, San Francisco,
CA 94108
MacKSNROTH, SELBY & ANWYE, 1610 Arden Way, Suite 250, P.O. Box
255800, Sacramento, CA 95865
MARKON, REID & SHEEHY, 601 California Street, Suite 1200, San
Francisco, CA 94108
RICHARD McCONNELL, ESQ., 114 Sansome Street, Suite 808, San
Francisco, CA 94104
MccuTCHEON, DOYLE, et al., 3 Embarcadero Center, P.O. Box V, San
Francisco, CA 94111
MCDONALD, PERUSSINA & CULLOM, 635 Sacramento Street, Suite 720, San
Francisco, CA 94111
McGLYNN, McLORG, et al., Bayside Plaza, 188 Embarcadero, Suite 200,
San Francisco, CA 94105
McNAMARA, HOUSTON, et al., 1211 Newell Avenue, Suite 202, P.O. Box
5288, Walnut Creek, CA 94596 MENTZ, FINN, CLARK, et al., 333 victory Avenue, South San Francisco,
CA 94080
MORGENSTEIN & JUBELIRER, 101 Market Street, 6th Floor, San Francisco,
CA 94105
O'BRIEN, HAMMOND & CONWAY, 220 Sansome Street, 7th Floor, San Francisco, CA 94104
PARICHAN, RENBERG, et al., 2350 West Shaw, Suite 130, Fresno, CA
93711
*
PARRISH & ASSOCIATES, 1255 Post Street, Suite 1100, San Francisco, CA
94109
..
PERKINS COLE, 10900 Wilshire Blvd., 11th Floor, Los Angeles, CA 90024
PETTIT & MARTIN, 101 California Street, San Francisco, CA 94111
ALAD(6/14/90) - 2
PILLSBURY, MADISON, et al., 225 Bush Street, P.O. Box 7880, San
Francisco, CA 94120
POHLE, JOHNSON, et al., 501 "Jw Street, Suite 610, Sacramento, CA
95814
POND, SHJEFLO & WOHL, 1730 S. El Camino Real, 6th Floor, San Mateo, CA 94402
POPELKA, ALLARD, et al., 160 West Santa Clara Street, Suite 1300, San Jose, CA 95113
Rogers, JOSEPH, et al., Robert Dollar Building, 311 California
Street, 10th Floor, San Francisco, CA 94104
ROPERS, MAJESKX, et al., 1001 Marshall Street, Redwood City, CA 94063 MARK H. ROSENTHAL, ESQ., 50 California Street, 30th Floor, San
Francisco, CA 94111
SEDGWICK, DETERT, et al., One Embarcadero Center, 16th Floor, San
Francisco, CA 94111
SHEPPHARD, MULLIN, et al.. Four Embarcadero Center, 17th Floor, San Francisco, CA 94111
SHIELD & SMITH, 580 California Street, Suite 1400, San Francisco, CA 94104
STARK, WELLS, et al., Lake Merritt Plaza, 1999 Harrison Street, Suite
1300, Oakland, CA 94612
.
STATE COMPENSATION INSURANCE FUND, 1275 Market Street, 3rd Floor, San Francisco, CA 94103
st. CLAIR, ZAPPBTINI, McFETRiDGE & GRIFFIN, One Montgomery Street,
Suite 1400, San Francisco, CA 94104
STEVENS & DRUMMOND, 1910 Olympic Blvd. , Suite 250, Walnut Creek, CA
94596
STUMBOS & MASON, 800 - 9th Street, Suite 200, P.O. Box 868,
Sacramento, CA 95804
SULLIVAN, ROCHE, et al., 333 Bush Street, 18th Floor, San Francisco, CA 94104
TARKINGTON, O'CONNOR, etc., One Market Plaza, Spear Street Tower,
Suite 4100, San Francisco, CA 94105
THELEN, MARRIN, et al., One Kaiser Plaza, Suite 1950, Oakland, CA 94612
Thompson & HELLER, 3600 American River Drive, Suite 150, Sacramento, CA 95864
tolpegin, IMAI, et al.. One Post Street, Suite 2400, San Francisco, CA 94104
Tomlinson, zisko, et al., 480 California Avenue, 2nd Floor, Palo Alto, CA 94306
WALSWORTH, franklin, etc.. Ill Sutter Street, 19th Floor, San Francisco, CA 94104
WEINTRAUB, GENSHLEA, etc., 2535 Capitol Oaks Drive, Suite 400,
Sacramento, CA 95833
WHITEHORN & RAVAZZINI, 2150 Franklin Street, Suite 571, Oakland, CA 94612
WISE, WIEZOREK, et al., 888 s. Figueroa Street, Suite 840, Los Angeles, CA 90017
WRIGHT, ROBINSON, et al., 44 Montgomery Street, 18th Floor, San Francisco, CA 94104
ALAD(6/14/90) - 3