Document NkM51J659y2j2oO1zmy2251y
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1 Should any further information become available, it will be
2 provided. 3 (a) Chrysler Corporation; Approximately 50% of all
4 production passenger cars from 1950 through 1960 model years.
5 (c) General Motors Corporation;
6 Chevrolet passenger cars: approximately 10% of rear
7 brakes from August 1952 through July 1954.
8 Cadillac passenger cars: 100% of all models from August
9 1955 tovJuly 1965; 50% (rears only) from August 1956 to July 1983
10 Buick: 25% from June 1956 to August 1957 on all
II power-braked equipment cars.
12 Chevrolet 1/2 ton trucks (-10 models): 100% from
13 August 1965 to July 1970; 50% (rears only) from August 1970 to
14 June 1975.
15 Chevrolet 3/4 ton trucks (-20 models): 100% from
16 August 1969 to July 1980; 50% (rears only) from August 1970 to
17 June 1978.
18 Defendant does not have sufficient information to provide
19 such information with respect to after market sales at this time.
20 Should such information become available, it will be provided.
21 INTERROGATORY NO. 123:
22 Does defendant have or possess any data or information re
23 garding any shipments, sales or distributions of automobile brake
24 linings or brake assemblies by a manufacturer or distributor,
25 other than itself, to any of the following entities:
26 (a) Chrysler-Plymouth Corp.;
27 (b) Ford Motor Company;
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23 (c) General Motors; o (S 1
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