Document Rj6JLzzwwRbvx6eGD5kGwp78z
SUPERIOR FOR THE STATE FOR THE COUNTY
COURT OF CALIFORNIA OF LOS ANGELES
TRANS, WESTERN PIPELINE COMPANY,
PLAINTIFF,
VS.
MONSANTO COMPANY AND DOES 1 THROUGH 200 INCLUSIVE,
DEFENDANTS.
) ) ) ) )
) ) ) ) ) )
) NO. BC026959
DEPOSITION OF JACK T. GARRETT APRIL 1, 1992
GORE REPORTING COMPANY
100 NORTH BROADWAY ST. LOUIS, MISSOURI
1-800-878-6750
(314) 241-6750
STLCOPCB4026313
1 SUPERIOR COURT
2 FOR THE STATE OF CALIFORNIA
3 FOR THE COUNTY OF LOS ANGELES
4
5 TRANSWESTERN PIPELINE
6 COMPANY,
7
8 Plaintiff, )
9
1 0 vs .
) NO. BC 026959
11
1 2 MONSANTO COMPANY AND
1 3 DOES 1 THROUGH 200
1 4 INCLUSIVE,
15
1 6 Defendants . )
17
1 8 Deposition of JACK T. GARRETT, taken
1 9 on behalf of the Plaintiff, at the offices
2 0 of Bryan Cave, One Metropolitan Square, in
2 1 the City of St. Louis, State of Missouri,
2 2 on the 1st day of April, 1992 before Ronald
2 3 A. Gore, Registered Professional Reporter
2 4 and Notary Public.
25
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1 APPEARANCES OF COUNSEL: 2 3 FOR THE PLAINTIFF: 4 Mr. James P. Tallon 5 Shearman & Sterling
6 725 South Figueroa Street
7 Los Angeles, California 90017
8 and
9 Ms. Christie A. Patrick 1 0 Senior Counsel 1 1 Enron 1 2 Interstate Pipeline Company 1 3 1400 Smith Street 1 4 Houston, Texas 77251 1 5 FOR THE DEFENDANT MONSANTO COMPANY: 1 6 Mr. Charles F. Preuss 1 7 Bronson, Bronson & McKinnon 1 8 505 Montgomery Street 1 9 San Francisco, California 9411], 20 21 22 23 24 25
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1 INDEX
2 PAGE
3 Examination by Mr. Tallon
6
4
5
6 EXHIBITS
7
8 Transwestern Exhibit 110
13
9 (Deposition notice of Jack T. Garrett)
1 0 Transwestern Exhibit 111
109
1 1 (Tran Numbers 058059-058060)
1 2 Transwestern Exhibit 112
123
1 3 (Letter from Garrett to Patrick)
1 4 Transwestern Exhibit 113
136
1 5 (Letter From Garrett to Hinson,
1 6 Tran Numbers 019567)
1 7 Transwestern Exhibit 114
142
1 8 (Letter from Garrett to Cheever,
1 9 Tran Numbers 019568-019569)
2 0 Transwestern Exhibit 115
181
2 1 (Memorandum by Garrett, Tran Numbers
2 2 017181-017183)
2 3 Transwestern Exhibit 116
193
2 4 (Letter from Garrett to Wheeler, Tran
2 5 Numbers 025673-025675)
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1 Transwestern Exhibit 117
2 (Letter from Tucker to Garrett,
20 1
3 Tran Number 022090) 4 Transwestern Exhibit 118
208
5 (Letter from Wright, Tran Number 085272)
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
i
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1 JACK T. GARRETT
2 of lawful a g e , having been first duly sworn
3 to testify the truth. the whole truth. and
4 nothing but the truth in the case
5 aforesaid, deposes and says in reply to
6 oral interrogatories propounded as follows,
7 to-wi t :
8 EXAMINATION
9 QUESTIONS BY MR. TALLON:
1 0 Q. Would you state your fu 11 name for
1 1 the record, please?
12
A. Jack T.
Garrett. G-a-r -r-e-t-t .
1 3 Q. Mr. Garrett, I'm Jim Ta lion, I'm
1 4 an attorney representing Transwe stern
1 5 Pip eline Company in a case that' s pending
1 6 in Los Angeles, California again s t
1 7 Monsanto.
Just before the depos i t i o n
1 8 started you met my colleague, Ch r i s t i e
1 9 Patrick.
2 0 A. Yes.
2 1 Q. Who is from Transwestern, and she
2 2 will be joining us in the room. For most
2 3 of today and perhaps into tomorrow I'm
2 4 going to be asking you some questions, and
2 5 I just wanted to lay a couple of ground
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1 rules before we get started. If I ask you 2 a question and you respond, I will ass u m e 3 from the response that means that you 4 understood what I was asking about, th a t 5 you understood the language I used in that
6 question. If that's not the case, the n you
7 should feel free to stop and to say th a t 8 you didn't understand it. 9 A . All right. 1 0 Q. Therefore, we can deal with a 1 1 clean record. 1 2 A . Okay. 1 3 Q. Is 429 Geyer Forest Drive in S t . 1 4 Louis, Missouri your home address? 1 5 A. That is correct. 1 6 Q. And are you currently a consu 1 t a n t 1 7 in industrial hygiene and occupational 1 8 health management? 1 9 A . Yes. 2 0 Q. Could you please, Mr. Garrett 2 1 tell me whether or not you have ever g i v e n
2 2 testimony in a deposition such as this one
2 3 before today? 2 4 A . Yes. 2 5 Q. And can you tell me how many times
i I
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1 you gave testimony in a deposition s u c h as
2 this one before today?
3 A . Ten or twelve times. 4 Q In any of the ten or twelve times 5 where you gave deposition testimony was a 6 subject of deposition testimony 7 polychlorinated biphenyls, sometimes known 8 as P C B s ? 9 A. As a major subject, no. 1 0 Q . Was it ever a s u b j e c t , m a j r or 1 1 minor, in any of t h o s e t e n or t w e 1 v e cases? 1 2 A. Minor, yes. 1 3 Q . Can you. i f y o u k n o w , t e 1 1 me the 1 4 occasions on w h i c h y o u gave t e s 11 m o n y that 1 5 related to PCBs? 1 6 A. No. I don't recall. 1 7 Q Can you tell me when the most 1 8 recent of those depositi o n s o ccurred? 1 9 A . I could bound i. t by saying within 2 0 the last three years. 2 1 Q. And can you tell me, if you're
2 2 able, what kind of time span those ten or
2 3 twelve depositions covered from the 2 4 earliest to the latest? 2 5 A. Probably 20 years.
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1 Q. Were any of the ten or twelve 2 depositions that you believe you gave 3 connected with your work for Monsanto? 4 A . All o f them were. 5 Q And a t those d e p o s i t i o n s do you
6 believe that you were r e p r e s e n t e d by
7 counsel for Monsanto?
8 A . I was represented by counsel. How
9 the counsel got there and whose pay he was 1 0 in, I do not know. 1 1 Q. Did you retain personally any of 1 2 the attorneys who accompanied you to any of 1 3 those ten or twelve depositions? 1 4 A . No. ] 5 Q. To the best of your knowledge, was 1 6 the attorney supplied or provided for you 3. 7 by Monsanto? 1 8 A. Or one of its law firms, I 1 9 presume. 2 0 Q Following any o f those ten or 2 1 twelve depositions did you r e v i e w 2 2 deposition transcript where the questions 2 3 and answers were shown to you in typed 2 4 format? 2 5 A. Yes.
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1 Q And did you make corrections or
2 changes on any of those ten or twelve
3 deposition transcripts? 4 A . Ye s . b Q To the best of your kn owledge,
6 were copies of those transcript s provided
7 to the atto rneys who accompanie d you to
8 those depos i t i o n s ?
9 A . I don't know, 1 0 Q To the best of your kn owledge, 1 1 were copies of the transcripts of those ten 1 2 or twelve d epositions furnished t o 1 3 Monsanto? 1 4 A I assume so But it's an 1 5 assumption. 1 6 Q. Have you ever testified at a trial 1 7 as distinct from a deposition? 1 8 A . Yes. 1 9 Q And on how many occasions do y 2 0 believe that you testified at trials? 2 1 A . One e in a full trial. 2 2 Q And did your testimony at that 2 3 trial r elate to your work for Monsanto? 24 A . No . 2 5 Q Was that testimony related to
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1 something personal?
2 A . No .
3 Q. Was it related to work that you 4 did after you left Monsanto? 5 A . Yes. 6 Q . Was the subject of the trial 7 testimony -- did the subject of the trial 8 testimony in any part include testimony 9 with respect to PCBs? 1 0 A . No. 1 1 Q. As you sit here today, Mr. 1 2 Garrett, I just want to be sure, is there 1 3 anything at all you recollect about the 1 4 testimony you gave in the ten or twelve 1 5 depositions that you believe you testified 1 6 in as it related to testimony regarding 1 7 PCBs? 1 8 A. Testimony is the words of an 1 9 individual, and, no, I do not remember the 2 0 words exactly. 2 1 Q. Can you tell me -- understanding
2 2 that time has passed since you gave the
2 3 individual depositions, can you tell me 2 4 without specific reference to the precise 2 5 words used in the depositions what the
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1 subjects of those depositions were as they
2 pertained to PCBs ?
3 A . In a 1 1 of those cases they were
4 not s p e c i f i c a 1 1 y f o r P C B , the subjec t of
5 the d e p o s i t i o n was e 1 s e w h ere.
6 Q. Understanding that the subject of
7 the deposition did not exclusively concern
8 PCBs, do you rememberany aspect
of the
9 deposition in terms of its subject matter
1 0 that touched on PCBs?
1 1 A . As a general subject of
1 2 toxicology .
1 3 Q . As you sit here today, and I do
1 4 not refer now to specific words, but do you
1 5 remember anything in addition to the fact
1 6 that the subject was the general subject of
1 7 toxicology?
] 8 A. It was secondary to the primary
1 9 purpose of the deposition, and so I really
2 0 don't know.
'
2 1 Q. So your memory today is that the
2 2 only thing you can say about those
2 3 depositions is that insofar as they touched
2 4 on PCBs the subject in general was
2 5 toxicology?
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i 1
A . That is correct
2 Q And you r e m e m b e
3 that?
4 A . No .
5 Q I just want to
6 to Mr. Preuss.
You're aware that we have a
7 request in for the deposition transcript of
8 all of the witnesses who will be testifying
9 in this case, and in many cases we have
1 0 received a deposition transcript, but none
1 1 for Mr. Garrett.
]2
MR. PREUSS:
The subject matter
1 3 didn't concern PCBs, as I understand it.
I
1 4 wasn't involved in that, but --
15
MR. TALLON:
Well, something in
1 6 the depositions did.
In any event, we
1 7 would make a request for production of the
1 8 deposition transcripts in the possession,
1 9 custody or control of Monsanto of Mr.
2 0 Garrett. Let me have marked as the next
2 1 exhibit in our continuing series, which
2 2 will be Transwestern Number 110, a
2 3 deposition notice of Jack T. Garrett.
2 4 (Transwestern Deposition Exhibit Number
2 5 110 mark'd for identification).
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1
MR. TALLON:
Mr. Garrett, I'm
2 showing you now what the court reporter has
3 marked as Transwestern Exhibit Number 110,
4 a deposition notice of Jack T. Garrett in
5 the case of Transwestern Pipeline Company
6 versus Monsanto Company, and I'll ask you
7 if you've seen that deposition notice
8 before today?
9 A. No. I have seen similar ones.
1 0 Q. Mr. Garrett, before this
1 1 deposition today you met with counsel for
1 2 Monsanto?
13
M R . PREUSS:
You can answer that
1 4 yes or no.
1 5 A . Yes.
16
MR. TALLON:
Have you --
1 7 A . I think.
1 8 Q. And I take it the "I think" is
1 9 that you're not sure who Mr. Preuss is 1
2 0 representing?
21
A. No.
No, I know who Mr. Preuss is
2 2 representing, but you talked about an
2 3 attorney from Monsanto.
2 4 Q. I'm sorry, I thought I said for
2 5 Monsanto.
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1 A . Yes . I'm s o r r y . T h e n the answer
2 i s yes.
3 Q - All right . I take it from that 4 a n s w e r that you met with Mr. P r e u s s 7
5 A . Yes
6 Q Did you e x a mine any files that you
7 may h a v e at home or in your office. if you
8 have an office, to determine whether or not
9 you had documents that --
10
A. No.
They were left when I
1 1 retired.
] 2 Q. Do you have a home office?
1 3 A. Yes.
]. 4 Q. And do you keep certain files
1 5 there?
16
A. Yes.
Files on my children, I
1 7 think, primarily.
1 8 Q. You don't have a correspondence
1 9 file dating from your years at Monsanto?
2 0 A . No.
'
2 1 Q. Do you have any materials at home
2 2 that relate to Monsanto?
2 3 A. Other than retirement documents,
24 no .
2 5 Q. You don't have any files off-site,
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1 that is to say, not in your home but i n
2 storage or the like that relate.to
3 Monsanto?
4 A . No. Excuse me. I have boo k s and
5 documents connected with written, pu b 1 i s h e d
6 items, and those may cover PCBs and a great
7 number of other materials. But they ' re
8 purchasedbooks.
9 Q. Can you just tell me in gen e r a 1
1 0 what kind of books you're talking ab out?
1 1 A. Industrial hygiene books,
1 2 toxicology books, industrial safety books . 1 3 Q. Are any of the books or oth e r
1 4 works that you referred to works or books
1 5 that were privately published by Mon santo?
1 6 A . No.
1 7 Q. Are you the author of any o f the
1 8 books or other works that you have a t home?
1 9 A. I authored a book, yes.
2 0 Q. What is the name of that bo ok?
2 1 A. It's on the -- the name of it is
2 2 Industrial Hygiene Management.
2 3 Q. And what was the year of
2 4 publication of that work?
25
A. Oh, gosh.
Eight years ago.
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1 about. That would be my guess. It needs
2 to go into second edition, and we probably
3 will start on that in a few days -- in a
4 few weeks.
5 Q. Who is your publisher, Mr.
6 Garrett?
7 A. Wiley.
8 Q. Now, you are a high school
9 graduate, correct?
1 0 A . Yes.
3 3 Q. Could you please describe to me
1 2 your formal education following high
1 3 school?
3 4 A. Aside from my military education?
1 5 Q . Yes.
3 6 A. I think I went to school more
1 7 often in the Army than I did elsewhere.
I
3 8 have a BS degree in chemistry from Oklahoma
1 9 State University at Stillwater, Oklahoma,
2 0 and an MS degree in inorganic physical
2 1 chemistry from the University of Tennessee,
2 2 Knoxville.
23
Q. In what year
did you receive your
2 4 BS degree from Oklahoma State?
2 5 A. '56. No, '58, I beg your pardon.
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1 '58, I'm sorry. Wait.
Hell, the
2 was over in '46, I got out in March o f
3 '46.
4 Q Foil o w i n g your mil i t ary s e r vice
5 you went to c oil e g e on the G . I . b i 1 1 ?
6 A . Yes. I had e n o u g h t i m e t o get my
7 Master's as well.
8
Q.
What year did you receive your
9 Master ' s?
1 0 A . 1 9 4 9.
J ] Q. Do you have any additional formal
1 2 education?
1 3 A. Depends on what you mean by
1 4 formal.
1 5 Q Did you ever begin a P h .D program? 1 6 A . I had o ne one set up at Tennessee, 1 7 but it went to p o t . If you r e m e m b e r in
1 8 1949 --
1 9 MR. PREUSS: You answered the
2 0 question.
2 1 A . Okay.
22
MR. TALLON:
In what way did it go
2 3 to pot? What happened?
24
A. Depression.
The first post-war
2 5 depression, the money disappeared.
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1 Q . Are you currently a member of any
2. tech n i c a 1 or chem ical soci e t y ?
3 A. American Chemical Society,
4 c o in m only known as ACS. National Saf e t y
5 Coun cil.
American Industrial Hygien e
6 A S S O ciation.
And the American Indus trial
7 Hygi ene Academy.
8 Q. Have you been in the past a member
9 of a ny other professional, technical o r
1 0 chem ical society which you are not
1 1 c u r r ently affiliated with?
1 2 A. I really don't remember. P o s s i b 1 y
1 3 repr esenting Monsanto, but other tha n that,
]4
I do n't remember.
There are so many
1 5 s c i e ntific groups that you are membe r s of
1 6 temp orarily and so forth. Like the
1 7 Auer ican Petroleum Institute, for ex ample.
1 8 And depending on what I was asked to do and
1 9 what it entailed, I was members of c e r t a i n
2 0 ones
2 1 Q. Were you ever Monsanto's
2 2 representative to the American Petroleum
2 3 Institute?
.
2. 4 A. Yes, in a substituted -- in a
2 5 committee application.
I was a Monsanto
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1 representative on a subcommittee of the
2 medical committee of the American Petroleum
3 Institute.
4 Q. When did you serve on that
5 subcommittee?
6 A. Oh, back in the '60's, early
7 ' 7 0 ' s , perhaps.
8 Q. Do you recollect being Monsanto's
9 representative to any other professional,
1 0 technical, chemical society or the like?
1 1 A. I was a member of dozens of formal
1 2 organizational committees like those for
1 3 the Chemical Manufacturing Association, the
1 4 Ohio River Valley Water Sanitation .
1 5 commission, the API, the American Petroleum
1 8 Institute. Oh, Lord. Oh, for three years
1 7 I was a member of the National Drinking
1 8 Water Council appointed by the secretary of
1 9 Health, Education and Welfare, twice,
2 0 reappointed once.
rK *
2 1 Q. Anything else that you recall
2 2 today?
2 3 A. No. But there are others I just
2 4 simply don't recall.
2 3 Q. Okay. Have you ever acted as an
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1 officer of the American Chemical Society'? ?. A . N o . 3 Q Have you ev er participated i n 4 drafting any reports issued by the A m e r 5 Chemical Society? 6 A . I'm trying to remember back a s 7 student. No. 8 Q. Have you ever served as an officer 9 of the National Safety Council? 1 0 A . No. 3 3 Q. Have you ever participated in 1 2 drafting any reports or publications issued 1 3 by that council? 1 4 A. I was on a committee that studied 1 5 some of the documents at one point in time. 3. 6 Q. What committee was that, sir? 1 7 A. It was a publication committee 1 8 that studied publications, the Safety 1 9 Council's publications for accuracy and
' 2 0 clarity. 2 3 Q. I take it from your description 2 2 that that committee was, in essence, an 2 3 editorial board or quality check board? 2 4 A . Yes. And it was set up by one of 2 5 the peopl e to make sure they did n't step on
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1 anyone's toes, like the medical side.
2 Industrial hygiene and safety are
3 different, but they're the same, and to
4 make sure that this was clear we had a --
5 for a time a publicity -- publication
6 thing that looked at some of their
7 documents to make sure they weren't
8 stepping on unnecessary toes.
9 Q. Did you ever serve as an officer
1 0 oi the American Industrial Hygiene
1 1 Association?
1 2 A. Yes.
1 3 Q . And what office did you hold or
1 4 offices did you hold?
1 F> A. I was national chairman of
16
personnel.
It was chairman of --
of
1 7 expanding the damn thing, getting new
1 8 members.
19
MR. PREUSS:
Membership?
20
A. Membership.
Thank you.
I was
2 1 membership chairman for the national
2 2 organization.
For the local organization
2 3 I've been every officer.
24
MR. TALLON:
Local meaning --
25
A. The St. Louis section of the
.
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1 A m e r i c an Industrial Hygiene Association. 2 Q . Did you ever participate in the 3 drafti ng of any publication issued by the 4 Americ an Industrial Hygiene Association? 5 A . Goodness, yes. Many.
6 Q . To the best of your recollection,
7 did an y of the publications in which you
a p a r t i c ipated in drafting touch on or
9 c onc ern PCBs ? 1 0 A . Yes.
1 1 Q . As you sit here today, do you
1 2 recoil ect the names of any of those 1 3 public a t i o n s ? 1 4 A . The first i n dustrial hygiene guide 1 5 publ is h e d on P C B s b y the A I H A itself was 1 6 author ed by myself and Elmer P. Wheeler. 1 7 Q . And to the best of your 1 8 recoil ection, when was that publication 1 9 p u b 1 i s h ed ?
2 n A . Probably in the late 1 5 0 ' s .
2 1 Q Do you have available to y o 2 2 home a copy of that publication?
2 3 A. No. It has been upgraded several 2. 4 times that I did not participate in. 2 5 Q . You mentioned written by you and
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1 Mr. Elmer Wheeler, can you identify Mr. 2 Elmer Wheeler for the record? 3 A. Mr. Elmer Wheeler was assistant 4 medical director of Monsanto and was my 5 immediate superior for a number of years. 6 Now deceased. 7 Q. Other than the first industrial 8 guide published by the American Industrial 9 Hygiene Association with respect to PCBs, 1 0 were you a drafter or did you participate 1 1 in the drafting of any other publications
1 2 issued by that group that touched on or
1 3 related to PCBs? 1 4 A . No. 1 5 Q . Have you ever served as an officer
1 6 of the American Industrial Hygiene Academy?
1 7 A. No. I have not.
1 8 Q. Have you ever participated in the
1 9 drafting of any publication issued by the
2 0 American Industrial Hygiene Academy? 2 1 A. Nothing concerning -- it would 2 2 have been personnel related, nothing
2 3 concerning toxicology, or individual 2 4 materials or anything like that, no. They 2 5 don't publish that sort of stuff.
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1 Q. When you say personnel, you mean,
2 again, membership?
3 A . Membership, who's qualified, when
4 do you hold certification, certification
5 tests. That is the organization that
6 issues the CIH. You see it on my card,
7 Certified Industrial Hygiene, that
8 organization.
9 Q. And what is the designation CSP on
1 0 your card?
1 1 A. Certified safety professional.
1 2 Q. What orga n i z a t i o n certifies you as
1 3 a safety professio n a 1 ?
1 4 A. The organ i z a t i o n
1 3 Safety Professiona Is, b e 1 ieve it or not.
1 6 Q. And when did you receive
1 7 certification as a CSP?
1 8 A. The first time they held tests, I
1 9 took the first t e s t. Oh, CSP? No.
That
2 0 was in the '70 ' s .
Proba b 1 y mid ' 7 0 ' s .
2 1 Q . And i n y o r a n s w e r o f a moment ago
2 2 you may have b e e n e f e r r i n g t o the CIH
2 3 cert ification. w h e did you get that
2 4 cert ification?
2 b A. That was n the 1 a t e ' 6 0 ' s . As I
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he/d
1 said the first test they
they
2 grandfathered everybody in but me, and I
3 had to take the test.
4
Q. Okay.
You indicated that you
5 served on a subcommittee of the medical
6 committee of the American Petroleum
7 Institute. Am I correct that that was as a
8 representative of Monsanto Company?
9 A. That's right.
1 0 Q. And was the business of that
1 1 subcommittee in any way related to PCBs?
12
A. Tangentially at best.
It was
1 3 related to the toxicity of materials
1 4 handled in the refining and transportation
1 5 of petroleum products in a very broad
1 6 sense, and to the best of my knowledge, we
1 7 never discussed -- to the best of my
1 8 recollection, we never discussed PCBs. It
1 9 was largely the direct toxicity of
2 0 individual materials.
2 1 Q. Was one of theindividual
2 2 materials discussed by that committee PCBs?
2 3 A. Not while I was on it, no.
2 4 Q. In what period did you serve on
2 5 that subcommittee?
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1
A.
It had
to have been -- it would
2 be difficult to say.
Sometime in the early
3 ' 7 0 ' s or late 1 6 0 1 s , that's when I went on
4 it. The committee kind of phased out. You
5 know, like many committees, it disappeared.
6 Q. Did that subcommittee issue any
7 reports, publications in which you
8 participated in the drafting?
9
A.
No.
That subcommittee was an
] 0 industrial hygiene group that was advisory
1 1 to the main members of the committee of the
1 2 medical committee of the API who were
1 3 primarily concerned with medical doctors.
1 4 And since they used most of their API time
1 5 to play golf, somebody had to do the
1 6 technical work, and that's exactly why that
1 7 committee was organized. I'm sorry, put it
i a any way you want to, but that's the truth.
19
Q.
That doesn't trouble me at
all.
2 0 Now,
let me just
refer back for a moment to
2 1 your membership in all of these groups.
2 2 Did you need to, or did you seek approval
2 3 of your immediate superior or anyone in the
2 4 chain of command at Monsanto in order to
2 5 participate in these groups?
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1
A. In many respects --
let's put it
2 this way, in some respects it was my
3 doing.
I pushed it.
In other respects
4 others pushed it.
I got put on many of the
5 committees by the company, either my boss
6 or the director or someone over in staff,
7 over in the board.
8 Q. Were you encouraged by Monsanto to
9 be active in professional societies?
1 0 A. To be professionally active, yes,
1 1 encouraged, and the company paid the bills
1 2 for me and so forth.
1 3 Q . With respect to the publication by
1 4 the American Industrial. Hygiene
1 5 Association, the first industrial guide to
1 6 industrial, safety relating to PCBs, you
1 7 indicated that that first guide was later
1 8 updated, is that correct?
1 9 A. A moment to discuss guides.
2 0 American industrial Hygiene Association
2 1 publishes guides, they're very brief
2 2 subjects to give people of foreman class or
2 3 junior management class, people in industry
2 4 a brief look at what he needed to do to
2 5 protect people in handling these products.
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i
1 That's what it was for. And it was very
2 brief. They were generally one page. And
3 they were done that way purposely. And we
4 did a who], e mob of them.
We, on our
5 products, to the degree that our products
6 came up from the committee that chose --
7 and I had nothing to do with the committee
8 that chose the subjects, we just did the
9 writing and briefing. And it's difficult
1 0 to brief these things down to keep them on
1 1 one page. They were printed on a semi
1 2 cardboard that you could tack on a bulletin
1 3 board. They were called Industrial Hygiene
1 4 Guides .
1 5 Q. So, to your recollection, what was
1 6 the length of the first industrial guide
1 7 that you and Mr. Wheeler worked on?
1 8 A. Half a page.
1 9 Q. And did you participate at all in
r-f ' 2 0 determining its distribution by the
2 1 American industrial hygiene association?
2 2 A . No.
2 3 MR. PREUSS: . You mean the guide as
2 4 opposed to the half page?
2 5 A . The guide itself?
|GORE REPORTING COMPANY
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1
MR . T__A__L__L__O_ N
Yes
Well , strike
2 i licit .
Let me just be clear.
Are you
3 drawing a distinction between the guide and
4 half page?
5 A . The g u ide was the half
6 Q Okay. Was there anyth
/ A . No .
8 Q Okay.
9 A . And it was limited to
1 0 Q Right . Now, did you h ] 1 to do with the distribution of that one
1 2 page guide?
] 3 A . No.
1 4 Q D o you have any know led g e 1 5 d i s t r i b u t i o n by the American Indus
] 6 Hyg i e n e Ass o c i a t ion?
1 7 A . I t was available to all m
1 8 the in d u strial hygiene assoc i a t i o n from the
1 9 offices in Akron, Ohio., I t was pu b 1 i s h e d
2 0 i ti their journal, that you s e n t i n so many
2 1 dollars for certain of them and t h ey
2 2 published the list of the ones they had.
2 3 At one point in time you could buy the
2 4 whole set if you wished. It began to
2 5 disappear. The AIHA, in essence, over the
GORE REPORTING COMPANY
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i
1 years backed out of it because it was a
2 difficult task and a very controversial one
3 t o try to jam into one page - - can you
4
i m ri rj i ;
' n g this for benzene, tolu e n e r
5 t h i n g s like that? I t would be diffi r u 1 t .
6 A n d i 1 was difficul t . And I helped o n some
7 of those, too.
8 Q. Why difficult?
9
A . Because of the p r o b 1. o m
u li . t: f I'd
1 0 W i 1 li r It 1 , , I , i . If ' , < , 1 gy that you could not 1 1 really cover in one page . Y o tl ' re .jtii' a d y
1 2 p Li l l i 1 1 CJ i.' it Mt v i v. the n a m e , a 1 1 t h e other
1 3 names, the symbols. its chcjii c a 1 s !. i nr 1 ure
1 4 and any of the s-t ruct tt-r a-4- methods, all of
1 5 its physical and chemical properties.
1 6 You're si. ill stuck to one page, so your
1 7 toxicology industrial hygiene paragraph is
1 8 abou< if),'1 big. So it became cumbersome to
1 9 do this with materials of a very far
2 0 rear hing toxicology.
2 1 Q. I take it from your response t h
2 2 t. h e r e was insufficient space on the one
2 3 page to fully describe the i mportant or
2 4 s a i i ent points?
2b
MR. PREUSS:
Well, I'm going to
|GORE REPORTING COMPANY
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1 object ; over- broad, non-specific .
2
MR . TALL0N :
You can answer,
3 A . It r e a 1 1 y was an evolutionary
4 p / u r t - s . In safety and health the amount
5 of mat e r i a .1 n e e d e d has grown through the
6 y e ci t
and t h i s --
they outgrew the need
7 for t h e i n d u s trial hygiene guides, because
8 o l. her o r g a n i z a t i o n s were publishing formal
9 d o c u m e n t s or little booklets on them. The
] 0 API p U b 1 i s h e d them, the MCA published
1 1 them, I part i c i p a t ed in writing a great
1 2 in a n y o f them, just participated with a
1 3 group, a c 1 u s ter of people that handled
1 4 these materia Is t h a t knew something about
1 5 them,
And t h e API had a whole mob of them,
1 6 and t h e C h e m i cal M a nufacturers Association
1 7 did, 1 ikewise .
Non e of them do it any
1 8 m ci r e .
It's t o o com plex to be able to snub
1 9 this s tuff do w n i n t o small enough form to
2 0 make i t avail able a nd understandable to
2 1 f o r e m a n class p e o p 1 e. Okay? I'm not
2 2 trying to be class conscious. I'm telling
2 3 you t h at the a v e r a g e foreman couldn't
2 4 unders t a n d , w hen y o u start getting out into
2 5 e x t r a n e o u s to x i c o 1 o gy issues.
So, to keep
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1 from
I was participating when they
2 d i s rt p p e a i' e d , one set s t o p p e d , the A C A s
3 stopped. It go t t o the point where you
4 couldn't do i t in a dec ent short enough
5 length to justify that type of
6 publication.
If you're going to make a 20
7 page document, it doesn't fit a pamphlet
8 t ui m .
T mean, -s-o- they jus t -f e-a-~trh e r-o-4- out.
9 and the y did -- all of the make r s of those
Qi/s Ve5 1 0 dr-it--i t-rg-P r tnrt.'h ~e~mr8 STTir.
I n other words , the
1 1 industrial hygiene guides, the MCA safety
] 2 u li ( i l s , the API's data sheet just
1 3 ppeared for lack of need for that kind
1 4 11 1 o r in a t i o n a n y more.
1 5 Q . In conn ection with that first
1 6 i Ti (i u t i i a 1 g u i de that you and M r . Wheeler
1 7 worked o n , was that replaced by a nother one
1 R page gu i d e a t a later date or did it simply
1 9 phaseoutofexistence? 2 0 A. I really don't know.
*
2 1 Q. Okay. Now, I've asked you
2 2 questions about whether you participated in
2 3 drafting publications- for any of the five
2 4 organisations that we touched on thus far.
2 5 Did you review publications proposed to be
jGORK REPORTING COMPANY
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1 published by any of the five organizations
2 that we've discussed, including the
3 American Chemical Society, the National
4 Safety Council, the American Industrial
5 Hygiene Association, the American
6 Industrial Hygiene Academy, or the American
7 Petroleum Institute where the subject of
8 that publication was PCBs?
9
MR. PREUSS:
Let me clarify.
Are
2 0 you talking about reviewed in an editorial
1 1 sense or just glanced at them or read
1 2 t hem?
2. 3
MR. TALLON:
I'm talking about
1 4 reviewed in an editorial sense.
1 S A . PCBs, no.
1 6 Q. Now, you testified a moment ago
1 7 that you participated in drafting
1 8 publications for other organizations.
Did
1 9 you participate in draftingpublications
2 0 for the Chemical Manufacturers Association?
2 2 A . Yes.
2 2 Q . Did any of the publications in
2 3 which you participated in drafting touch on
2 4 o i co n cv r n PCBs?
2 5 A . No.
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1 Q. Did you participate in preparing
2 publications, that is to say, drafting
3 publications for the National Drinking
4 Wcil't Council where the topic or subject of
5 that publication was PCBs?
6 A . Nr, . '."lie National Drinking Water
7 Council was an advisory council to the
8 diTt-rloi u f the agency itself, and to the
9 Congress.
1 0 Q . Which agency are you referring
1 1 to? OSHA?
1 ?.
A.
No. The pollution agency.
Damn
1 3 it, what the hell --
1 4 Q . T h e F: P A ?
.
1 5 A . Yo? , KPA .
1 6 Q. When were you appointed to the
1 7 National Drinking Water Council for the
1 8 f i i s i lime?
19
A. Oh, gosh.
'71, '12.
And I served
2 0 for one year. I was one of the originals
2 1 and T had the one year term and they
2 2 reappointed me for three additional years.
2 3 Q. By whom were you appointed?
2 4 A. The secretary of EPA, the
2 8 director, who was the assistant secretary
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1 of then Health, Education and Welfar e . 2 Q. At any time during your ser vice on 3 the National Drinking Water Council did the
4 business of that council touch on or
5 concern PCBs? 6 A. Only in an ancillary sense, if at
7 all.
I don't recall any direct disc u s s i <> n s
8 concerning PCBs.
9 Q. Do you have an understandin g as to
1 0 how you were selected for nomination t o
1 1 that, council?
1 2 A. Two of the organizations I was
1 3 members of put my name on there. Th e
] 4 secretary, assistant secretary, dire c t o r
1 5 picked me out of the list.
1 6 Q. Just let me do one cleanup
1 7 question. Mr. Garrett, do you have any
1 8 recollection of participating in the
1 9 drafting of any publication by any
'r `
2 0 organization where that publication touched
2 1 on or related to PCBs?
22
MR. PREUSS:
Other than the
2 3 Industrial Hygiene Society?
24
MR. TALLON :
Other than wha t we
2 5 have discussed thus far.
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1 A. I've worked with groups that did
2 documentation for agencies that did -- the 3 agency itself may have published on PCBs. 4 T did not participate in it, except for 5 one. 6 Q. When you say you worked with 7 groups, which groups are you referring to? 8 A. We've been discussing it. The MCA 9 then, n o w C M A - - I don ' t k n o w why they
J 0 7 (' v (' f l; e d i t , MCA ha d s u c h a r o t t e n 1 1 r e p u t a t i o n , I guess -- pu b 1 i s h e d all of 1 2 these MCA guides and we helped in that. 1 3 Also helped publish, write things that went ] 4 from the MCA in their efforts to discuss 1 5 with Congress. These are all lobbying 1 6 operations, you know this. And in the 1 7 technical groups , i-n-e 1 u d i-n-g--t h-e-- ----1 8 including the A-I-S , the academy, the safety 1 9 council, I've worked on publications for
*
2 0 them that are purely a technical base for 2 1 -- that would not necessarily be for 2 2 lobbying or anything else, it would be for 2 3 publications they published one place or
2 4 another for the help of safety and health
2 5 professionals. And the book on management
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1 the same way, it was published at the
2 request of a number of people from the AIHA
3 that needed to be done and we did it.
4 Q . Just referring to the Chemical
5 Manufacturers Association for just a
6 moment, I take it that that organization
7 from time to time discussed pending
8 legislation with representatives of the
9 Congress?
]0
MR. PREUSS:
Are you asking does
1 1 he have personal knowledge of that?
1 2.
MR. TALLON:
I'm asking.
1 3 A. Yes, I do.
1 4 Q. And, in fact, in your answer of a
1 5 moment ago I think you referred to it as
1 6 lobbying, correct?
1 7 A . Yes.
1 8 Q. Did you ever directly participate
1 9 in any lobbying activities in connection
/a 1
2 0 with the Chemical Manufacturers
2 1 Association?
2 2 A. With agency people, not with
2 3 elected officials.
So it's kind of
2 4 secondary lobbying, if you know what I
2 5 mean.
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1 Q When you refer to agency people
2 are you referring to representatives of the
3 Environmental Protection Agency?
4
A.
API --
I mean, EPA, OSHA, NIOSH.
5 Oddly enough, I did participate with the
6 pollution, national pollution organization
7 in direct lobbying with some people for
8 some pollution laws.
9 Q. Did any of your direct experience
1 0 in discussing legislation or proposed
1 1 regulations with the EPA touch on or
1 2 concern PCBs?
1 3 A. Not in a direct sense.
1 4 Q . Did it do so in an indirect sense?
15
A. Pollution, water pollutants.
What
1 6 is a water pollutant. It means anything
1 7 that could get in the water.
1 8 Q . And did you discuss those lobbying
1 9 efforts with any of your colleagues at
2 0 Monsanto?
21
A
e s , if they wished t o know.
And
2 2 those
n e e d e d to know I d i s cussed i t
2 3 with.
2 4 Q Just t o be cl ear, was the effort 2 5 that you were e n gaged in an e f f o r t i n
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1 concert with the Chemical Manu facturers
2 Association?
3
M R . PREUSS:
I object to the form
4 of the quest ion. as to what yo u mean by i n
5 concert.
6 A . It was a subcommittee of a
7 committee of that organization that did the
8 work and presented the technical data
9 obtained.
1 0 MR. TALLON: What was the
1 1 subcommittee?
1 2 A. It would have been an ad hoc
1 3 subcommittee, many times appointed from the
1 4 major committee, which is the chemical
1 5 advisory committee to that organization.
1 6 Q. What was the purpose for which you
1 7 were so engaged in discussions with the
1 8 EPA?
1 9 A . F r o m the day I join ed Monsanto's
2 0 health d e p a r t m e n t t o today. these
2 1 or g a ni z a t i o n s that b u i 1 t the technical
2 2 backing for all the pollution laws and
2 3 health related laws, largely, that are on
2 4 the books in any agency of the Federal
2 S Government, because when we started there
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1 were virtually no legislation connected
2 with specifics.
3
MR. FREUSS:
You've answered the
4 question, sir.
5
MR. TALLON:
I think you may have
6 interrupted him. May I have the answer
7 hark 7
8 (The requested portion of the
9 record read by the reporter).
] 0 MR. TALLON: Let me just be clear.
1 1 Mr. G a r r e 11 . W h a t w a
1 2 e f f o r t ? What w e r e y o
1 3 A . You may not
1 4 was attempting to write decent -- get the
1 5 background for decent pollution laws and
1 6 decent health related laws in this
1 7 country. All people in my business in
1 8 every company, regardless of what they
1 9 made, were trying to do the same thing.
r^ *
2 0 Q. And for the record, what do you
2 1 mean when you use the word decent in that
2 2 context?
2 3 A. When I got in the Water Pollution
2 4 Control Federation, the federal pollution
2 5 law said it was against the law to pollute.
IGORE REPORTING COMPANY
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1 and that's all.
2
Q. And--
.
3 A. And in the next 50 years we have
4 been defining pollute.
And the direction
5 some of these things were taking was
6 alarming in the sense that well, we're
not
7 going to have any chemicals put in the
8 rivers.
You know, I mean, let's be
9 perfectly frank with ourselves, the average
1 0 American Congressman, distressingly so, is
1 1 probably an attorney that has very little
1 2 technical backing and information
1 3 concerning pollution control, pollution
1 4 treatment, chemicals or anything else, so
1 5 it was our job, and encouraged by these
1 6 organizations, to try to get this job done
1 7 with some responsibility.
1 8 Q. Did you ever personally
1 9 participate in discussions with
K'
2 0 representatives of a government agency
2 1 where the subject of the discussions was
2 2 PCBs ?
.
2 3 A. Specifically, I don't recall.
2 4 Q. Were you ever part of a working
2 e. group or organization that was dealing
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1 directly with a federal or state agency
2 where the specific topic to be discussed
3 was PCBs?
4 A . No.
5 Q. Were you ever part of a group that
6 discussed the issue of PCBs with federal
7 legislators. Senators or Congressmen?
8
A. I don't recall.
I really don't
9 recall .
1 0 Q M r . Garrett, you indicated that 1 1 you r e c e i v e d your Master's Degree in 1 9 4 9 ?
1 2 A . Yes.
1 3 Q Did you, after receiving yo u r 1 4 Mas ter' s Degree, begin work in your present
1 5 field?
1 6 A . No.
1 7 Q. What did you do after you received
1 8 your Master's Degree for employment?
1 9 A. I became a chemist. Which I was a
2 0 chemist, an inorganic physical chemist
2 1 looking for a job, had a wife and two kids,
2 2 all of which were hungry after four years
2 3 of college, I went on- the G.I. Bill, and I
2 4 walked to the gate at Monsanto's plant in
2 h Texas City, Texas and they hired me as a
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1 research chemist
2 Q. What year was that?
3
A. 1950.
January 12, 1950, my
4 birthday .
5 Q. Starting with your position as a
6 chemist in Texas City, Texas, could you
7 please take me through your employment with
8 Monsanto from January 12, 1950 until you
9 to tired? And when I say take me through, I
1 0 mean could you please tell me what
1 1 positions you held and for what periods of
1 2 time you held them, as best you can?
1 3 A . Roughly . I was a researc
14
mist , and that was my title.
A
1 5 nk I was Resea r c h Che mist 3 by
1 6 ary schedules , that's all I k n o
1 7 si r ci n g c -ihout things, how they've evolved.
1 8 More people are interested in their salary
1 9 levels and so forth today than we were in f:K '
2 0 those days after the war. All we needed
2 1 was a job. I think a lot of people are in
2 2 the same boat today. And as you can easily
2 3 imagine, my field was radiation chemistry,
2 4 and I was going into a laboratory that's
2 b field was polymeric monomers, an organic
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s
1 chemistry field. So I, to a certain
2 degree, represented an odd sort of
3 individual in this lab. So I inherited all 4 the odd jobs . And one of them had to do
5 with determi ning what trea t m e n t we would
6 apply to an acrylonitrile process that w a
7 planned for the Texas City plant. the old
8 Texas division of Monsanto's plant.
And I
9 did
-- I got mixed up in how do you do
] 0 this.
I went to the state.
11
MR. PREUSS:
Mr. Garrett, I think
1 2 fie wants to know how long you were research
1 3 chemist, from what year to what year, what
1 4 you did, your job position from what year
1 5 to what year.
1 6 A. I got pretty proficient in
1 7 pollution, and the medical department in
1 8 St. Louis found it out, and when they were
1 9 ordered to take over this job of keeping
2 0 the plants advised in connection with
2 1 pollution control, they came down to Texas
2 2 City and offered me a chance to make more
2 3 money, so I came to St. Louis as
an.
2 4 industrial hygienist. I never had seen
2 5 that term before, I did not know what it
!
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1 was.
2 Q. And what year did you go to S t .
3 Louis as an industrial hygienist?
4 A . '54.
5
MR. PREUSS:
Do you want to take
6 it on up?
7
MR. TALLON:
Yes, please.
8 A. I became manager in about ' 5 8 of
9 water pollution control in that sect ion,
1 0 and then manager of industrial hygie n e and
] 1 water pollution control, and then ma n a g e r
1 2 of industrial hygiene, then director o f
1 3 industrial hygiene. These are grade level
1 4 changes, as you can imagine.
1 3 Q. Can you relate when you bee a m e the
1 6 manager of industrial hygiene and wa ter
] 7 pollution control?
1 8 A. What time, you mean what da t e ?
19
Q. Yes.
What year?
' `
20
A. Oh, gosh.
'62, I think, so m e t h i n g
2 1 like that. 2 2 Q. Do you remember the year in which
2 3 you became the manager of industrial
2 4 hygiene?
2. 5 A. I really don't.
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1 Q . Do you remember the year in which 2 you b e c a me the di rector of industrial
3 hygi ene? A A . That was probably '80. 5 Q Was dire c t o r of i ndustrial hygiene
6 the last position you held at Monsanto?
7 A . Yes.
8 Q And what year did you retire from
9 a c t i ve duty at Monsanto?
1 0 A . November 1985. 1 1 Q. And since 1985 have you been a 1 2 r n I) S ultant in private practice? 1 3 A . Yes.
1 4 Q. Since 1985 has any of the
1 5 cons ulting work that you have done been for 1 6 Mens a n t o ? 1 7 A . Yes. 1 8 Q. Are you currently working for 1 9 M o n s anto as a consultant?
'I ' 2 0 A. Yes, I presume so. 2 1 Q . And I take it that if you act as 2 2 cons ultant for M o n s anto, Mon santo pays you 2 3 some salary or fee based on your hours? 2 4 A. Yes. 2 8 Q. Can you estimate, or better yet.
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1 tell m e how many projects you've worked on 2 for Monsanto since leaving Monsanto, 3 r e t i ring from Monsanto in 1985? 4 A. Six or seven. 5 Q And do you plan t o b e able to 6 cons u 1 t for M o n s a n t o in the f u ture, if that 7 is p ossible? 8 A. Consult with anybody who wants me. 9 yes. ] 0 Q When you first w e n t t o S t 1 1 in 1 9 5 4 from Texas City, T e x a s , w h 1 2. d e p a rtment were you in, if that is the 1 3 c o r r ect terminology? 1 4 A. Medical. 1 5 Q . To whom did you report in 1954? 1 6 A. To Elmer P. Wheeler. 1 7 Q. What was his title? 1 R A. Assistant director. 1 9 Q. Assistant director,medical? 2 0 A. Assistant director of the medical 2 1 d e p a rtment. He was not assistant medical 2 2 dire ctor, no. Assistant director of the 2 3 m e d i cal department. 2 4 Q. And at that time who was the 2 5 dire ctor of the medical department?
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1 A. Dr. R.E. Kelly.
2
Q.
Did you have anyone reporting
to
3 you when you came to St. Louis?
4 A . No. 5 Q. When you became the manager of
6 water pollution control in approximately
7 1958, what department did you work with or
8 for?
9 A. Medical department.
1 0 Q. Was your position always within
] 1 the medical department through your
,
1 2 retirement?
1 3 A. Through the medical department and
1 4 its subsequent names. But the same thing,
1 5 same idea, same place, really.
1 6 Q. And did the name of the medical
1 7 department change from 1954 to 1985?
1 8 A . Yes.
1 9 Q. What was it called at various
2 0 points?
2 1 A. When I left it was called the
2 2 department of medicine and environmental
2 3 health.
2 4 Q. In 1954 did Mr. Wheeler have
2 5 others reporting to him as assistant
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1 director of the medical department?
2 A . No .
3 Q. You were his only report?
4 A. I was his.
3
Q.
Okay.
And did Mr. Wheeler report
6 to Mr. Kelly?
7 A . Yes.
8 Q. Did Dr. Kelly have other reports
9 atthat time, so far as you recall?
1 Cl
A. Yes. He had a half
time physician
1 1 and a medical technician and, of course, we
] 2 had two secretaries .
13
Q. Were
the offices of your --
was
1 4 your office and the office of Mr. Wheeler
1 5 and the office of Dr. Kelly in the same
1 6 general area?
1 7 A . Yes.
] 8 Q. And what building or office
1 9 address was that?
2 0 A. The office building downtown at
2 1 the Queeny plant. There is an eight story
2 2 building there that Monsanto had as its
2 3 original company office.
24
Q . nid
the location of your offices
2 5 change between 1954 and 1985?
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1 A. We moved from there to the new
2 of f i re Nt/ ucture in St. Louis County.
3 Q. When was that?
4 A . in A Buildingof that new
5 structure, which was a multitude of
6 buildings.
That was in 1957.
No.
Yes, it
7 was 1957, that's right.
8 Q. And was your office in that same
9 location in St. Louis County for the
1 0 balance of your career at Monsanto?
11
A. No.
We moved --
they separated
12 -
they separated the department and moved
1 3 most of the people toanother building
1 4 temporarily and then they moved them back.
1 5 After I left they moved it back.
1 6 Q. How was the department separated?
17
A.
The director and --
who was a
] 8 physician. stayed in one area.
I t was a
1 9 matter of just because o f room and space
2 0 problems.
And it's back t o g e t h e r where
2 1 belongs now.
2 2 Q . The director was in one area and
2 3 staff was in another?
2 4 A. Yes.
2 S Q. Was your office near the office of
jGORE REPORTING COMPANY
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1 the director during that time? 2 A . No, it was in the other place. In 3 other words, they moved us over to another 4 building. E> Q . During the time period when the 6 department was separated, was the director 7 a J one and all of the staff elsewhere? 8 A. To a degree. And then he moved 9 over with us and then the whole thing moved 1 0 back after I retired. ] 1 Q . I take it from your description 1 2 that between 1954 and 1985 the medical 1 3 department grew in terms of the number of 1 4 people assigned to it? 1 E. A. Oh, my, yes. 1 6 Q . When you became manager of water 1 7 pollution control in 1958, to whom did you 1 8 report? 1 9 A. Elmer Wheeler.
' 2 0 Q. And to whom did Mr. Wheeler 2 ] report, 5 f you recall? 2 2 A. Dr. Kelly. 2 3 Q. When you became manager of water 2 4 pollution control in 1958, did Mr. Wheeler 2 b have oilier reports to him?
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1
A. Yes.
He had a toxicology man.
2 Q. J'm sorry?
3 A. He had a toxicologist i <]_><> i t. Lo
4 I . W h o was that?
6 A . A d e c e a s e d gentleman named Hunt.
7 n r . I: I i ( . !
'./.I ' ' ! i nm Hunt.
8 Q . And do you recall when Dr. Hunt
9 b e (j ci n work a u toxicologist reporting to
1 0 Mr. Hh e e 1 e r ?
1 1 A . T h a t had to have been sometime in
1 2 the la t e '60 's, I would say. Mid to late
1 3 '60's.
1 4 Q . I think the question arose, what 1 5 report s did Mr. Wheeler have in 1958 when
1 6 you be came director of water pollution
1 7 c o n t r o 1. And just to clarify, was Dr. Hunt
1 8 workin g for -- or, rather, reporting to
1 9 Mr. W h eeler in 1958 or did he not arrive
2 0 until the late '60' s ?
2 1 A . I can't remember what time it
2 2 was. Whether he was there at that time, I
2 3 don't remember. But I reported to him and
2 4 I had one man reporting to me.
2 5 Q . And who was reporting.to you?
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1 A . A p 0 1 1 u tion engi n e e r .
2 Q w h o was that?
3 A . B r u c e W . Eley.
4 Q I s that E - 1 - y ? 5 A . I think E - 1 - e - y , I t h i n k .
6 Q I s M r . Eley stil 1 1 i v i n g ?
7 A . Yes.
8 Q. Is he still employed by Monsanto?
9 A. To the best of my knowledge.
1 0 Q. When did Mr. Eley start working at
1 1 Monsanto for you, as best you recall?
12
A. Not exactly,
no.
1 3 Q. When you became the manager of
1 4 industrial hygiene and water pollution
1 5 control in approximately 1962, to whom did
1 6 you report?
1 7 A. Elmer Wheeler, still.
1 8 Q. And did Mr. Wheeler then still
1 9 report to Dr. Kelly?
2 0 A . Yes .
^' '
2 1 Q At that t i m e d i d M r . Wheel e r have 2 2 any other reports t h a t Y o u r e call?
2 3 A . Toxicolog i s t a n d m y s elf.
2 4 Q And when Y o u b e came the d i rector 2 5 excuse me, the manager of industrial
GORE REPORTING COMPANY
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1 hygiene and water pollution control, did
2 you have anyone reporting to you?
3 A. Later on, yes. 4 Q . Who?
'
5 A. I had -- it would be better when
6 I became director.
I had -- at that time
7 we hired some new ones. We had four
8 industrial hygienists and an assistant, who
9 was Mr. Eley.
] 0 Q. Are you referring to the time in
1 1 1980 when you became the director of
1 2 i ndustrial hygiene?
1 3 A. No. During the period between
] 4 that time and the time I was manager of
1 5 industrial hygiene the staff grew to four
] 6 hygienists and an assistant, which was Mr.
1 7 Eley, and three chemists in an industrial
1 8 hygiene laboratory.
1 9 Q. And did the four industrial
2 0 hygienists and the three chemists report to
2 1 you?
2 2 A. Yes.
23
Q. Do
you remember the names of the
2 4 industrial hygienists?
23
A.
Not - -
I can tell you some ot
l iiI i
I
(CORE REPORTING COMPANY '.
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1 them, that's all.
2 Q . Can you please tell me those that
3 you recall?
4
A . /in),,.
haw, who is currently
5 opera ting t h a t s e c t .i o n .
A t tho
a mo f i mn I
6 i n li c i i t f - i i 1 h e. health r e c ords sect ion, w hi c h
7 c o n t a i n e d -- which was the c o m p u ter
8 o p <: i ' 1 i oil for health r e c ords , and I had a
9 manager managing each o f t h-o-s-e two v /rx- o f
1 0 ection, the hygiene i;-e-c-t-i-o-n- and the
11
e chemistry g. Q
&-B-.
Currently that
1 2 so, that is not the arrangement, and
t
1 3 tly I don't know the arrangement.
1 4 have to ask somebody else.
1 5 Q. Who was the manager of the
1 6 chemists section?
1 7 A. Bob Peck, P-e-c-k.
1 8 Q. And do you remember during what
1 9 time period Mr. Peck served as manager of
2 0 that section?
2 1 A. He was there when I left, so I
2 2 don't know since then.
2 3 Q. But do you remember when he came
2 4 on board?
2b
A.
No, no! directly.
I don't --
I
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I
1 don't remember. We brought him in fi o m 2 nay (tin, and I don't know when it was.
3 Q. And do you remember when Mr. 4 Hinshaw began work at Monsanto?
5 A . T o be perfectly honest. n o , I 6 don't I c a n't remember exactly . P r o b a b 1 y
7 late i n '70, but I can't tell you any 8 better than that.
9 Q. Did the organization of your group
1 0 change at all from the time you becam e
1 1 manager of industrial hygiene through your 1 2 retirement as director of industrial
1 3 hygiene? 3 4 A. Became a little larger. We got 1 5 another chemist and a couple of additional
1 6 industrial hygienists, and I was spending a
1 7 lot of time with the health records group.
1 8 Q. Did you continue to report to Mr.
1 9 Wheeler until the time you retired?
2 0 A . U n til t h e t me he retired, yes. 2 1 G ., Wh e n was t h t ? 2 2 A .. 0 h , g o s h 2, .'3, '4, something
2 3 1 i k e that. E a r 1 y t o mid ' 7 0 ' s , that's the 2 4 b e s t I can d o . Y o u ' have to ask his wife.
2 5 I guess.
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1 Q. And to whom did you report after
2 Mr. Wheeler retired?
3 A . The medical dir e c t o r .
4 Q Directly to the medical director?
5 A . Directly to the medical director.
6 Q. Who was that?
7 A. That was Dr. George Roush.
8 R-o-u-s-h, I believe is the way he spells
9 it.
1 0 Q. Did Dr. Roush replace Dr. Kelly as
1 1 medical director?
1 2 A . Yes.
1 3 Q. And do you recollect when Dr.
1 4 Kelly retired?
1 5 A . I hate t o say the late '70'' s , but
1 6 I'm going to do i t again, because I don ' t
1 7 know. No, I don ' t know.
1 8 Q. Have you seen Dr. Kelly since his
1 9 retirement or yours?
2 0 A. Many times.
2]
Q.
When was the last time you
saw
2 2 him?
2 3 A. A funeral about three or four
2 4 months ago.
2 5 Q . Other than Mr. Wheeler, did you
GORE REPORTING COMPANY
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i
1 ever h a ve any repor
obligation to
2 a n y o n e else?
3 A . Yes.
4 Q To whom?
5 A . Mr. Tom E v
6
Q And what w
. Evans ' position
7 during the period you re ported to him?
8 A . During the peri od that we reported
9 that Dr. Roush headed th e thing, the
1 0 c < i in p a n y interjected an a dditional
1 1 management layer, and Mr . Evans turned out
] 2 1 o be my boss.
1 3 Q . Approximate! y w hen did you begin
1 4 reporting to Mr. Evans?
1 3 A. Probably in the early ' 8 0 ' s or
1 6 late ' 7 0 ' s . Very late ' 7 0 ' s , probably '78,
] 7 79, '80, *81.
] 8 Q . In the 1 9 6 0's d i d you h a v e any
1 9 reporting obligations to a per son other
2 0 than Mr. Wheeler?
K'
2 1 A. It was a very s m a 11 d e p a r t m e n t
2 2 and, yes, my official bo s s was M r .
2 3 Wheeler. The department h ad f our men in
2 4 it, all of which were la r g e 1 y d i f f e r e n t
2 5 technical people.
It wa s kind o f operated
GORE REPORTING COMPANY
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1 in a rather laissez-faire way. But as it 2 grew larger it had to have def ined lines of
3 communication, so forth, and w hen I finally 4 retired there were so many peo pie in the 5 medical system itself at Monsa n t o in 6 varying specialties that indus trial hygiene 7 andcomputer records setup was a different 8 organization, and we were so b ig that these 9 people probably didn't know th e people in
1 0 the toxicology section, for ex ample. We 1 1 went from a room to a floor in 30 years, 1 2 Q. In referring to the h ealth records 1 3 section, are you referring to health 1 4 7'cc-nfds of Monsanto workers or health
1 5 records of others or both?
1 6 A . Monsanto workers.
1 7 Q. Did you ever have any one working
] 8 ft>/ you who had as their princ i p a 1
1 9 responsibility addressing cone erns rcl./led
2 0 to P C B s ? 2 1 A . No. 2 2 Q. Was there ever during your service 2 3 with Monsanto a person in the medical
2 4 department whose principal res pons ibility 2 5 was to deal with health issues o r
GORE REPORTING COMPANY
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1 environmental issues relating to P C B s ?
2 A . No.
3 Q. During your service in the medical
4 department at Monsanto was there a person
b who had as a portion of their
6 responsibility dealing with issues relating
7 to P C B s ?
8 A. The hygienist assigned to the
9 organic chemicals company back when it was
1 0 a division or company, yes.
It was one of
1 1 his many jobs.
1 2 Q. Do you remember the name of the
1 3 hygienist assigned to the organic chemicals
1 4 division?
] b A. They were at one time or another
1 6 assigned to them.
Wemoved them around.
1 7 They moved up, some of them left, we got
1 8 new ones and so forth.
No, I don't.
1 9 Q. Did there come a time when, let's f^ `
2 0 say, legislative attention focused on
2 1 PCBs ?
22
MR. PREUSS:
I'm going to object
2 3 to the vagueness.
2 4 A. There was a time when legislative
2 5 attention focused on organic chemicals, and
j
(GORE REPORTING COMPANY
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1 I think that part of that was PCBs.
2
MR. TALLON:
At or before that
3 time was it the responsibility of a n yo n e in
4 the -- of any particular individua 1 in the 5 medical group to deal with question s
6 relating to PCBs?
7 A. The hygienist assigned to the
a organic division initially, and to the
9 chemical company ultimately. These are 1 0 organizational changes in Monsanto itself .
11 And the section that included the o r g a n i c
] 2 manufacturing that the hygienist wa s
1 3 assigned, and it varied depending o n who
1 4 was assigned to, the organic divisi 0 n .
1 5 Q. What was the formal name o f the
1 6 division or department that had
1 7 responsibility for organic chemical s during
1 8 the period that you worked for the medical
1 9 group?
tr ' 2 0 A. Originally the organic div 1 s i o n .
2 1 Later a series of names which is cu r re n 11 y
2 2 the chemical -- the Monsanto Chemi cal
2 3 Company.
.
2 4 Q . Was there a separate manag e me n t 2 5 structure for the organic division d ur i n g
Iii
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I
1 the time that yo u served in th e medical
2 group?
3 A. Yes.
4 Q . And can you describe for me how
5 that division wa s managed? Wa s there a
6 president or vie e-president, s 0 forth?
7 A . There w as a Corporate
8 Vice-President w ho was in char ge of that
9 division. And I believe he wa s one of
1 0 four.
1 1. Q . One of four corporate
1 2 vice-presidents company-wide o r one of four
1 3 in charge of the organic divis ion?
1 4 A. Company -wide .
1 5 Q , And who was the Corpo rate
1 6 Vice-President i n charge of th e organic
] 7 division?
1 8 A . Oh, my stars, I have no idea,
1 9 there were so ma ny different o n e s .
2 0 Q . Do you remember any o f them?
21
A . Their n ames escape me .
The only
2 2 thing Iknow is the current pr esident of
2 3 the whole damn m ess and chairm an of the
2 4 board of the mes s was at one t 1 m e the
2 5 vice-president o f the plastics division .
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Q 1 Are y o u talk i n g about today?
2 A . Today . Was a t
3 those V i c e-pre side n t s
4 where the y w e r e bo a r d m e
I5 when
f i r s t c a m e t o Mon
6 vice- P r e s i d e n t s we r e boa
7 are n o t n o w .
.8 Q When you say b o
9 mean m e m b e r s o f t h e b oar
the.' p t 71 0
it ! i'ii
(.-ft m p a n y
1 1 A . That' s r i g h t
" ; : ' | ' ] 2. 1 It o 1.
i c c tor s .
Q , you1 3
Okay.
Now
] 4 t. h r on `j h 1 h e p o ; :i L i o n s y o
1 d1 5 s e r v i c e i n the m e d i c a
y1 6 x hrou g h our r e t i r e m e n t . e1 7 tell m e w hat y our d u t i s
1 8 first c a m e to S t . Lou i s
?1 9 h y g i e n i s t in 1 9 5 4
2 0 A . To t a k e o v e r t h
2 1 plant s t h at re g u i r e d i t ,
iy2 2 p r i m a r i
o r g a n i c pro due
2 3 conti n u e doing the w o r k
2 4 c o n t r o 1 f or t h e co r p o rat
2 5 don't kno w how you put i
GORE REPORTING COMPANY
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1 on pollution control
2 Q. What was the function of the town
3 crier on pollution control?
4 A. Trying to determine and bring to
5 the attention of the division people, their
6 staff, what they were looking at in
7 connection with treatment problems and
8 methods .
9 Q. Did you have responsibilities
1 0 other than plant visitation?
1 1 A. You know, with a small department,
1 2 I didn't do any physical exams, because I
1 3 wasn't a qualified physician, but I was
1 4 accused many times of having -- of having
1 5 Dr. Kelly take my license away from me. So
1 6 it was a small department at first, and I
1 7 answered Elmer's phone, he answered mine
1 8 and sometimes I even answered -- I even
1 9 1 y ' s phone .
2 0 ' v e indicated a couple of times
2 1 i c a 1 group was a small
22
hen you joined in 1954,.
Was it
2 3 small enough that you had direct contact
2 4 with Dr. Kelly?
2 5 A. Sure. His office was next to mine
IGORE REPORTING COMPANY
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1 and Elmer's was on the o the r s i d e .
2 Q. And did th a t d i r e c t c 0 n tact
3 continue throughout t h e ' 6 0 ' s a n d ' 7 0 ' s
4 A. Throughout t h e t i m e h e was bos s of
5 the medical departm e n t / w h a t e v e r it was 6 called. And it had c h a n g e d n a m e s from time
7 to time becaues oth e r pe 0 p 1 e w a n ted it t o
8 be called the occup a t i 0 n a 1 m e d 1 c a 1
9 department and ever y t h 1 n g e 1 s e
Dr . Ke 1 1 y ,
1 0 as; the boss, kept v e r y c 1 o s e a n d tight
1 1 liaison with his pe o p 1 e , a n d b e c a u s e of the
] 2 transfer of informa t i o n b a c k a n d forth i t
1 3 had to be that way.
I t s t i 1 1 i s that w a y ,
1 4 except now by boxes
I n d u s t r i a 1 h y g i e n e is
1 5 separate and indust rial h y g i e n e chemist r y
1 6 and toxicology and all, the y ' r e all
1 7 separate groups, an d the d e par t m e n t is very
1 8 large now.
1 9 Q. In your answer when you referred
2 0 to boxes, you mean boxes on an
2 1 organizational chart?
22 A . Yes .
.
2 3 Q. During the time that Dr. Kelly was
2 4 the head of the d e p a r t m e n t , did you have
2 3 any access to hi m dir e c t 1 y ? You didn't
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1 have to go through Mr. Wheeler, right?
2 A . No. I had access to him
3 directly.
Now, officially, I went through
4 Elmer, but by agreement with Elmer -- I had
5 never seen this kind of organization
6 before, I came out of the Army where the
7 Corporal spoke to the Sergeant in quiet
8 tones. I found with some work there that
9 it was necessary to do that. The liaison
1 0 was direct, the actual official line of
1 1 communication was well established, me to
1 2 Elmer to -- we traveled so frequently and
1 3 so much that it was
almost -- it was lucky
] 4 if one person was there, much less two.
1 5 And it worked fine, the three of us worked
] 6 fine.
1 7 Q. You indicated in an answer a
1 8 moment ago that your plant visitation was
1 9 primarily to organic producing plants.
Can
2 0 you state the reason or reasons why it was
2 1 primarily to organic producing plants?
2 2 A. Most of the problems of the other
2 3 p]ants were mechanical. Making fiber is a
2 4 mechanical problem.
Making inorganic
2 5 chemicals is the rock and gravel business.
GORE REPORTING COMPANY
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1 Organic chemicals are a chemical business,
2 and they requiredthe most
attention.
They
3 still do today.
4 Q. And what is the reason for that
5 degree of attention required?
6 A. They produce the vast number of
7 materials.
They produce probably -- today,
8 probably 95 percent of Monsanto's products
9 are produced by the chemical company, in
1 0 actual differential products. The fiber
1 1 people make one thing, they make nylon
1 2 thread, and, you know, that process is a
1 3 fixed process. The old Monsanto inorganic
] 4 division made phosphate from ground rock in
1 5 furnaces. That's the old story, if you've
1 6 seen one phosphate furnace you've seen them
1 7 all.
We went there and we maintained
1 8 1 i a i son with them and knew the people and
1 9 r a i s e d cane with them if t h e need be.
But
2 0 our m a i n bus i n e s s was with organic
2 1 production, and it still is today.
2 2 Q. All right. After you became the
2 3 manager of water pollution control, did
2 4 your responsibilities change in any
2 5 fashion?
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STLCOPCB4026380
1 A . No. 2 Q. They remained the same? 3 A. That's right. 4 Q. Did you take on responsibility for 5 water pollution control or did you already 6 have it? 7 A. I already had' it. 8 Q. What did you do in connection with 9 discharging your responsibilities in 1 0 connection with water pollution control? 1 1 A. Well, you saw the organization 1 2 that I was with, I kept track of where the 1 3 c h e m i c a 1 i n d u s try i t s elf was in respect t o 1 4 this. and kept t r a c k o f some of the r. i v e r ] 9 basins t h at we were w o r k i n g on. because 1 6' these were the ones into which we 1 7 ultima t e 1 y were going to discharge wha 1 8 p o 1 1 u t ion we did or didn ' t do. The Oh 1 9 river. the Mississippi R iver and some 2 0 the coastal areas, Galveston Bay. I know 2 1 more about Galveston Bay than I need to 2 2 know. But I did it because we needed to. 2 3 Q W h e n y o u say kept track o 2 4 basins , are you referring to s t u d i 2 5 pollutants?
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--
I
1 A. We sampled, tested fish, tested
2 residue, the bottom mud. And believe me,
3 Galveston Bay has an interesting layer of
4 bottom mud. Very, very, very thick mud,
5 very deep mud, it's been there a long time,
6 and the soil from the Trinity Basin has
7 bled off into it very much. And we need to
8 know what was going on in that aquatic
9 environment and what affect we were having
1 0 on it, if any.
1 1 Q. For what purpose did you want to
1 2 have that information?
1 3 A. Because we had to have it.
1 4 Q. What was the reason you had to
1 Ei h a v (_ it?
1 6 A. Because it was good management
17
practice.
And Monsanto produced --
did it
1 8 before they were forced to. But they
1 9 didn't do it because they were forced to,
2 0 they did it because they wanted to do it.
2 1 Q. Did what, keeping track?
2 2 A. Kept track and treated their
2 3 wastes. We treated the waste at Texas City
2 4 when I was there.
2 5 Q. And, just briefly, what are you
GORE REPORTING COMPANY .. .
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LOUIS, MISSOURI . 7n
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I
1 referring to by treating waste at Texas
2 City?
3 A. We treated the materials, did he
4 we didn't discharge them to the bay.
5 Q. What treatment was effectuated
6 then?
7 A. We burned them, incinerated them,
8 recycled them to the degree that -- and
9 sent our -- the plant wastes themselves,
1 0 this is the laboratory waste, to the city
] ] waste treatment plant. We built a pipeline
1 2 tothem, paid them to treat our sewerage.
1 3 Now, ' ' - - r i ! t. y proud of Monsanto, so don't
1 4 jab me about that. We do what we think is
1 9 pjope r .i hi] necessary to maintain proper
1 6 management, and we did it then and we do it
1 7 now .
i v. Q . Did your position, or, rather,
1 9 your responsibilities change when you
2 0 changed position to manager of industrial
2 1 hygiene and water pollution control?
22
A. Yes.
Because now we're beginning
2 3 to get people.
I got --
2 4 Q . Staff?
2 5 A. I got a people.
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1 Q . Okay.
2 A. And 3 worked the hell out of him,
3 I ha te to say. And he bee a m e -- h o came
4 5 Tl
hr- wun a graduate w ith a Master's
5 D e g r ee in environmental en gineering, and E
6 t u r 11 ( 3 him into an industr ial hygienist,
7
But --
to a degree.
But he still was a
8 f i t s l class pollution engi neer as well,
9 And he helped.
And becaus e of our
3 0 m n 1 I ip.lirity in hats he be came a hygienist
1 1 and still retained his -- some
3 2 r c p o n i b 1 3 i t y for polluti on control,
1 3 Q. Are you referring to Mr. K1 e y ?
3 4 A . I am.
3 5 Q . In addition to ha ving supervisory
1 6 r e s p onsibilities over Mr. Eley, did your
3 7 own function or responsibi lities change
1 8 when you became manager of industrial
3 9 h y g i ene and water pollutio n control?
2 0 A. Other than managi ng Mr. Eley and
2 3 sepa rating the work that w as needed, no.
2 2 Q. Did your responsi bilities or
2 3 f u n c tion change when you b ecame manager of
2 4 i n d u strial hygiene?
2 b A. By this time I ha d a couple of
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1 a d d i tional hygienists, and it looked like
2
let me --
we were working two sides of
3 the street in a way. And it came to the
4 p O i 11 i , d nil I knew it was coming, that it
5 had to separate, and it separated.
And I
6 b c c ,i me industrial hygiene only and
7 poll ution control went to the engineering
8 d c- p .'i i t dent, where it belonged, originally,
9 a c t u ally.
10
Q. When w u
that?
When did that
1 1 s p1 i t occur?
1 2 A. i1 had to be sometime in the
1 3 '70' s. And I couldn't tell you. Actually,
1 4 T w a s given a choice by the vice --president,
1 5 do y ou want one or do you want the other.
1 6 Q . Which vice-president are you
1 7 r e f e rring to?
1 8 A. That would be at the time -- oh,
1 9 gosh , I can't remember.
Oh, it was
2 0 p r o b ably Throdahl. Monte Throdahl.
2 1 Q. How do you spell Mr. --
2 2 A. M-o-n-t-i, I think, or M-o-n-t-e.
2 3 And he said to me do you want pollution
2 4 c. n n l rol or do you want industrial hygiene,
2 5 we g ot to separate it, it's getting to be
jGO R E REPORTING COMPANY
ST. LOUIS, MISSOURI
__ "7 0
STLCOPCB4026385
1 too big a job, and I c h o s e industria
2 hygi e n e because that was the biggest
3 chal lenge .
4 Q , J u st one t h i n g , Mr. Garre t t , I 5 d i d n ' t get the s p ell i n g of Monte's 1 a *> t
6 T) c) III t- .
7 A. T-h-r-o-d-a-h-1, I think.
8 Q. Was Mr. Throdahl responsible for
9 your d e partment or for you?
1 0 A . Yes. He was respons i b 1 e for
1 1 medical department and all of its man
1 2 environs at the time.
] 3 Q . What time was that? You said that
1 4 wasinthe'70's?
.
1 5 A . Yes.
1 6 Q . When you started at Monsanto in
1 7 1954, do you know to whom Dr. Kelly
1 8 reported?
1 9 A. There was no operational chart
' 2 0 that showed where he reported. But he
2 1 reported to the old man, he reported to Mr.
2 2 Queeny, actually, if you want to know the
2 3 1 rulll .
`
2 4 Q. You're referring to the Chief
2 5 Executive of Monsanto?
GORE REPORTING COMPANY
ST. LOUIS, MISSOURI
STLCOPCB4026386
1 A . Yes. The owner's son.
2 Q . And did Dr. Kelly continue
3 ationship?
4 A . No. There was an official
5
anization put in and the i ( w .i
a
6 V) c of p ; t s i d e n t in charge of portions
7 staff, and Dr. Kelly reported to that
8 vi re- president , And there were a number of
9 those through the years.
Mr. Throdahl, by
1 0 the way, was one of them at one time.
1 1 Q. When did the organizational
1 2 structure change such that Dr. Kelly was
1 3 reporting to a vice-president?
1 4 A . When Mr
1 5 from the company
1 6 the compa n y .
1 7 Q Approxi itely when was that?
18
A . Oh, g o s
I don't know.
It had to
] 9 bo in the '70's sometime.
2 0 Q. Do you remember who was the first
2 1 vice-president to whom Dr. Kelly had
2 2 reporting responsibility?
23
A. No, I don't remember.
And there
2 4 was a whole string of them, so --
2 b Q. Did you ever work with a gentleman
GORE REPORTING COMPANY
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LOUIS, MISSOURI *7 C
STLCOPCB4026387
1 by the name of Keller?
2 A. Bob Keller?
3 Q . Yes.
4 A. Yes.
b Q. And what was Mr. Keller's title
6 when you worked with him?
7 A. Research chemist, senior research
8 chemist and then section leader, I believe,
9 in the research department when I knew him.
1 0 Q And you i n t e r a c ted with Mr. Keller 1 1 m e way in y o u r job?
1 2 A . And many other people.
1 3 Q And many other people?
1 4 A . Many other people.
]. 5 Q Sure. How did you interact with 1 6 Mr. Keller?
1 7 A. He was a research chemist in
1 8 charge of certain materials, research on a
1 9 certain line of organic materials, and we
2 0 interfaced with him and half a dozen others
2 1 for the same reason.
2 2 Q. Did Mr. -- I'm sorry.
23
A. I can't recall their names.
Once
2 4 in a while I will.
2 8 Q. Did Mr. Keller have any
GORE REPORTING COMPANY
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l
1 responsibility for research relating to
2 PCBs ?
3 A. Fluids, I think, yes.
4 Q. Did you ever interact with Mr.
5 Keller as related to research into PCBs in
6 fluids?
7 A. Probably many times.
8 Specifically, I related to s o many , I don't
9 know whether I related to h i m any more than
1 0 anybody else. By the way. i t '' s Dr . Keller.
1 1 Q. Is it Dr. Keller?
1 2 A. Yes, indeed.
13
Q. You reminded me of something.
Dr.
1 4 Kelly is a medical doctor?
1 5 A . Yes.
16
Q. And Dr. Keller
-
] 7 A. Is a Ph.D chemist.
1 8 Q. I take it Dr. Keller did not
1 9 report to you? 20 A . No .
fc ' '
2 1 Q. Do you know to whom he did report?
2 2 A. Somebody in the -- in that
2 3 division's research g.roup. And, frankly, I
2 4 do not know.
2 b Q. Was Dr. Keller an employee of or
GORE REPORTING COMPANY
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1 associated with the organic chemicals
2 division?
3 A . Their resea r c h department, yes 4 Q Understandi n g that you int e r a c ted 5 w i 1 h a lot of people i n your career , d o you
6 have any particular recollection of
7 interacting with Dr. Keller on an issue
8 related to PCBs in fluids?
9 A . Probably any number of times, but
1 0 I don't recall the subjects specifically.
1 1 Probably on fluids, but -- because I think
1 2 that was his ball park. But not
1 3 specifically, no.
1 4 Q . Did you ever work with Dr.
1 5 k :i chard?
1 6 A. Yes.
1 7 Q. And --
1 8 A. Bill Richard. William Richard,
19
2 0 Q Our ; < i y the per i o d that you worked 2 1 with Dr. Richard, what was his p o s i t. i o n ?
2 2 A. He was a section leader, I
23 be1 ieve .
Now, you have got t 0 go back and
2 4 f j iid out from those research c o o - c o o s what
2 5 kind of command structure they had. They
GORE REPORTING COMPANY .
ST. LOUIS, MISSOURI TO
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l
1 chan ged it quite frequently and I don't
2 know
3
MR. PREUSS:
Just answer his
4 ques ti on . 5 A. But Bill Richard was a research
6 chem ist with the organic division when I
7 knew him.
8 MR. TALLON: Was Dr. Richard a
9 c o n t emporary of Dr. Keller?
10
A. Pretty much.
Pretty much.
1 1 Q. Did they hold the same position at
1 2 were they in the same group?
1 3 A. Structurally, I think so.
]4
MR. PREUSS:
You mean parallel
1 5 pos i t i o n s ?
1 6 MR. TALLON: Yes.
1 7 A. Parallel, structurally, I think
18 so.
1 9 Q . How did Dr. Richard's position
2 0 diff er from Dr. Keller's position? 2 1 A. Bill had -- I think he had a
2 2 cert ain part of the organic chemicals
2 3 p r o r essing setup with him, and we dealt
2 4 with him because he did.
He was the one
2 8 (Join g the research in organic chemicals.
|G0 R E REPORTING COMPANY .
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S
1 Q. How does that differ from Dr.
2 Keller's responsibility?
3 A . No difference at all, other than
4 Keller did the same thing and both of them
5 had groups that specialized in specific
6 organic chemicals. And I can't tell you
7 which ones did which.
8 Q. Did you ever interact with Dr.
9 Richard on the subject of PCBs?
]0
A.
Probably.
But I cannot recall it
1 1 now.
1 2 Q Do you know w h e t h e r Dr,. R i chard 1 3 had any role in c o n n e c t i on with res earching
1 4 or analyzing PCBs?
1 5 A. No. I don't know specifically.
16 no .
I t would be wrong to say anything, I
1 7 don'1 t k now speci f i c a 1 1 y .
] 8 Q Are you aware of work that Dr. 1 9 Richard did that related to PCBs?
2 0 A. Probably. I don't remember
2 1 specifically, again. But I dealt with
2 2 him. But I dealt with a dozen others.
2 3 Q. During your career at Monsanto did
2. 4 you (vet work with a Mr. Tucker?
2 5 A. Tucker? I don't recall.
GO R K REPORTING COMPANY
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I
1 Q. During your career a t Mon santo. 2 M t . r; ' r r e t t , did you ever ha v e o c c a s i o n to 3 study or consider the t o x i c i ty o f PCBs? 4 A . Yes. 5 Q. And when, to the best of your 6 recollection, was the first occasion that / you had occasion to consider PCB toxicity? 8 A. Probably the first day I arrived 9 in St. Louis, because it was one of the 1 0 organic chemical sections. 1 1 Q. Were you aware when you were 1 2 working in Texas City that Monsanto ]. 3 manufactured and sold products that 1 4 included PCBs as a constituent element? 1 8 A . No. 1 8 Q. Did you become aware of that fact 1 7 when you moved to St. Louis? ] 8 A. Yes. 1 9 Q. And how did you become aware of 2 0 that fact, as best you recall today? 2 1 A. Elmer Wheeler took me over to the 2 2 research department, which was in the old 2 3 building downtown, and introduced me to a 2 4 whole host of research people in charge of 2 h different parts of the organic chemicals
GORE REPORTING COMPANY
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STLCOPCB4026393
1 group.
And one of them was the fluids
2 group. They were for everything -- you can
3 imagine, we manufactured organic chemicals
4 of 50 different varieties. And those
5 people managed research sections covering
6 those 50 or more sections in organic
7 chemical processing.
8 Q. Was there a specific fluids group
9 when you arrived in St. Louis in 1958?
10
A. I think so.
I think it was --
1 1 they calledit the fluids group.
Now, it
] 7 may have had two people in it.
And at one
1 3 time it may havehad one person
in it, I
1 4 don' L know. But it was known as the fluid
1 5 group.
1 6 Q Hid that group continu e i n 1 7 e n c e d u r i n g the entire cou r s e of your
1 8 r U t Mon s a n t o ?
1 9 A . I do n ' t know.
2 0 Q Did that group continu e i n 2 1 e n c e at leas t through the ' 7 0 ' s ?
2 2 A. To the best of my knowledge, it
2 3 did.
I'm not aware o.f exactly when it
2. 4 red or di s a ppeared, if it did e i t h e r .
2 5 Q Do you recall the names of anyone
GORE REPORTING COMPANY ..
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i
1 who worked in the fluids group during the
2 time that you were with Monsanto?
3 A. There was a Ph.D chemist that died
4 that had some of the original patents, and
5 I knew him briefly. And I don't think he
6 headed that group. I don't think he wanted
7 to head anything, I think he -- I don't
8 think he wanted to head anything.
He was a
9 chemist that wanted to work in the lab.
1 0 And he died early in my career at St.
1 1 Louis.
.
] 2 Q . A r e you able, a s y ou sit here 1 3 t o d a y , to r e c o 1 1 e c t the n a m es of anyone who 1 4 was i n that g r o u p during t h e course-of your
1 5 care e r at M o n s a n to?
1 6 A. No. I would be -- I knew so many
1 7 of those organic chemical r esearch people
1 8 and they changed around a 1 o t , and i t w o
1 9 be impossible to do that,
I t would b e
2 0 impossible to trace it. If y o u ask e d
2 1 somebody else how to trace m y c a r e e r / h o 2 2 you'd ever find it all out. I don't k now
2 3 No, I do not know.
24
Q. Fair enough.
I'm just wondering
2 5 if, as you sit here today. you remember the
I 1
IGORE REPORTING COMPANY
ST. LOUIS, MISSOURI
STLCOPCB4026395
1 name of anyone whom you identified with
2 that group?
3 A . No.
4 Q. I asked you, to start this line of
5 questioning, whether you had ever had
6 occasion to consider or study the toxicity
7 of PCBs, and you indicated that probably
8 you did on the first day you arrived in St.
9 Louis. Are you referring to a general
1 0 responsibility or a specific focus on PCBs?
11
A.
I met a contract --
we had a
1 2 small lab that did work for us, and I met
1 3 that gentleman.
I can't remember his
]4
name.
He, by the way, is also dead.
And
1 5 he -- I was introduced to him on the
1 6 premise that that was where they did the
1 7 screening, toxicology screening tests, the
1 8 early acute screening tests. And we -- at
1 9 some times we tested materials that were to
2 0 b c' .) d d e d t o f 1 u i d s in the flu i d g r o u
2 1 Q D o you r e member the n a m e o f 2 2 lab?
23 A . No .
'
2 4 Q. Was it Industrial Biotest?
2 5 A. Initially, no. But, ultimately.
GORE REPORTING COMPANY
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1 that was the name of it.
2 Q. Was the small lab that you did
3 work with when you first started a
4 predecessor to Industrial Biotest?
5
MR. PREUSS:
I'm going to object
6 to Ihe form of the question.
7 A. Idon'tknow.
8
MR. TALLON:
The reason I asked
9 you that question, Mr. Garrett, was that
] f! y ... i. .aid in your answer eventually it
1 1 became Industrial Biotest, and I'm
] 2 wondering whether --
1 3 A. Our dealings became with
] 4 industrial Biotest.
1 5 Q. I see. And approximately when did
1 6 ihrii (nil tact initiate, as best you recall?
1 7 A. Sometime in the early '70' s or
1 8 inic 'Ed's, I would assume. But I can't
1 9 say.
That really is a guess, and I hate to
2 0 guess .
2 1 Q . Okay. In what way did the --
2 2 your introduction to this small lab that
2 3 did the work on toxicology tests relate to
2 4 the toxicology of PCBs?
2 S A. If any basic tox screening was
GORE REPORTING COMPANY
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STLCOPCB4026397
1 done on fluid materials, they would have
2 doiif
it in that period of time.
3 Q. I want to focus on that time
4 period when you first came to St. Louis
5 from
Texas City.
When you first came
6 Texas
City were you aware, as a chemist,
7 that
there was such a thing as a
8 polychlorinated biphenyl?
9 A. Probably not. Chemically,
1 0 probablynot.
1 J Q . In your positionas an industrial
1 2 hygienist when first you came to St. Louis,
] 3 did you discuss issues related to
1 4 toxicology of PCBs with Dr. Kelly?
] 3 A. It would have been more likely the
1 6 otherwayaround.
17
Q . Meaning that he
would have
1 8 commentedtoyou?
19
A. Yes.
On most of
the materials
2 0 that we handled in the plant I wasbriefed
2 1 by Kelly or Wheeler or both connected with
2 2 those materials that we felt had been
2 3 tested and we had some standards on, and
2 4 those that we felt were hazardous.
That
2 8 was my job, industrial hygiene.
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ST. LOUIS, MISSOURI qa
STLCOPCB4026398
I
1 Q. in your answer of a moment ago you
2 said that you were briefed on chemicals
3 that we had, I'm using your term, I think,
4 we had some standards on and some that were
5 hazardous.
Does that describe two
6 different groups, one group with standards
7 and one group that was hazardous?
A/rec* 8 A . Not necessarily. I was -fa-T ought--u-p_
of 9 J.er Texas City, I was an inorganic physical
1 0 chemist in an organic lab in Texas City, I
1 1 had done some lab^on pollution control and
1 2 fish toxicity for the production facilities
1 3 for acrylonitrile, and that was the old
p/u> i 1 4 -s h-cwp production facilities.
I didn't know
1 5 anything about what Monsantomade,
and I
1 6 was briefed by Elmer and/or Kelly in
dxi'i
T -rhe-vx
1 7 connection., -----------a-n-dr they^sent me out to the
1 8 plants to look at the exposures of our
1 9 workers to those materials, and to make
2 0 comments to the plant and to write a report
2 1 to Dr. Kelly. And that was where I learned
2 2 about what was made
where. And pieces and
2 3 bits of those fluids were made in different
2 4 plants . -ft-n-4- (Chat ' s w~he.r-e I was told.
2 5 Q. When first you came to St. Louis
(GORE REPORTING COMPANY
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1 from Texas City i n 1958, were ther e any
2 Mon santo products i ncluding PCBs f or which
3 you had standards, to use your ter m ?
4 A . There were in the limited , limited 5 i n d ustrial hygiene toxicology lite rature at
6 the time some recom mendations to b e m a d e ,
7 and there were a sc t of recommenda tions for
8 an
r`
1 c a Is that had bee n made by
9 a U niversity of Mic higan professor f. hat was
1 0 p 11 ! ' i s h e d by them, and we had copi e s o f
1 1 the se^ There also were some mater ials from
1 2 the API on chemical s involved in a
1 3 pet roleum refining business that w ere
1 4 a v ,i ilable in API da ta sheets. And that's
1 5 w h a t we used as our beginning poin t . And
1 6 w e manufactured man y materials tha t fitted
1 7 t h o se individual st andards .
1 8 Q When you ' r e using the ter m
1 9 s t a n d a r d s , for the sake of clarity , how are 2 0 you using that term 7
2 1 A. If the mat erial used benz e n e in
2 2 i t s production, and Monsanto is a great
2 3 use r of benzene, we knew approxima t e 1 y
2 4 a b o ut the acute tox icity and a goo d deal
2 5 a b o ut the chronic t oxicity of benz e n e .
And
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ST. L 0 UI S, MISSOURI OQ
STLCOPCB4026400
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'LC'l'2/36/ < ->T-7 , the MCA, the
r 'he CMA and the API had data
3 sheets on benzene. And there were methods
4 In in:, i for it.
Some pretty cumbersome.
5 But we did tests for it to make sure our
6 people were not being exposed to excessive
7 amounts of benzene.
For example, toluene,
8 theTc were some standards on that. Now,
9 you get into some of the fancy babies, and,
] 0 n f i , i h r r e were not. There are now, but
1 1 there weren't then.
] 2 Q. When you're referring to
1 3 standards, then is it fair to say that
1 4 you're referring to a degree of exposure or
I 5 contact beyond which exposure or contact is
1 6 Ti n l tecommended?
1 7 A. That is correct.
] 8 Q. And when you're referring to acute
1 9 toxicity, are you referring totoxicity
2 0 with an immediate effect if the exposure is
2 1 above a certain level?
2 ?. A. That's what acute means. Now, the
2 3 material toxicity we had was large largely
2 4 acute. There was, however, a lot of
2 5 chronic work that had been done on some
i
|GORE REPORTING COMPANY
ST. LOUIS, MISSOURI
j
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STLCOPCB4026401
1 materials such as benzene and lead and
j
2 mercury and tr4^--s-e---',1r+ri-f>-g-s . We knew these P^-C^syirri&tfic.
r-.AUl^v-
/evdJs j
3 and they were s-t-s rvd a r d standards* r e-g-u 1 a-r
4 g-^-at-R-4-a~r-d s .
f :
b
Q. And it's fair to say that when you
;
6 refer to chronic toxicity in your answer
!
7 you're referring to toxicity as a result of
j
8 exposure over a period of time?
9
A. Long term, that's right.
And
j j j
1 0 these also met certain toxicological
!
1 1 parameters of the day. Chronic toxicity to
:
1 2 them meant certain types of toxicstudies.
;
1 3 Q. And in the day, what was the
I
1 4 accepted definition for chronic toxicity in
] 5 termsoflengthoftime?
:
1 6 A. It was -- the whole system was ;
] 7 built on life-time, preferably, and you
;
1 8 would probably assume life-time as
30
;
1 9 working years of a man's life. Andon the
;
2 0 premises of that base, most chronic
2 1 toxicity was done to determine how much
2 2 would create difficulties in animal
2 3 species, primarily multiple animal species,
2 4 or preferably in multiple animal species
2 5 over long periods of time. And the primary
CORE REPORTING COMPANY
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4
1 period was two years.
2 Q. Primary period for chronic --
3 A . For chronic studies was two years.
4 Q . At the time that you joined the
5 medical group in St. Louis in 1958 --
6 A . '54. 7 Q ' 547 8 A . Yes
9 Q A t the time you joined the medical 1 0 group in S t . Lou is in 1954, were there
] 1 s i n P.
-i j placable to Monsanto products,
1 2 including PCBs?
] 3 A. Wc knew the chronics. I don't
1 4 recall. If there were, I don't recall
1 5 t hem, no. There was not very many
1 6 anywhere .
] 7 Q You i n d i c a t e d i n your answer that 1 8 we knew the c h r o n i c s , what did you me. an by
1 9 that?
2 0 A . We knew the c h r onicson some
2 1 material s we made, we h a ndled, becaus e they
2 2 had been handled so ma n y years. You can
2 3 start wi th a list of m a n y of them; le a d ,
2 4 flMO I u I / , benzene, that s o r t o f stuff
2 5 Q But in your a n s w e r w h e n you s a i d
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GORE REPORTING COMPANY
ST. LOUIS, MISSOURI 91
STLCOPCB4026403
1 that you knew the chronics, were you
2 referring to chronics with respect to
3 Monsanto products where a constituent
4 clement was PCB?
b A . No. I was referring to individual
6 materials that we manufactured and moved
7 cm l of the process in the way of the
8 workers.
I mean, let's be honest, that's
9 what an industrial hygienist is supposed to
1 0 do, is to make sure that if that process is
1 1 possible to get in the way of the worker
1 2 and expose him, then you must do something
1 3 either to the worker or to the process, and 1 4 we did both. But as far as who did -- we
] 8 did a lot of chronic toxicity work on the
1 6 PCBs prior to my coming there and after I
1 7 came there, and thiswas handled
by Dr.
1 8 Kelly at the Kettering Institute in
1 9 C .i n c i n n a t i .
2 0 Q . When you said in your answer that
2 1 we did a lot of chronic toxicity work,
2 2 c o u 1 d you describe for me what you're
2 3 referringto?
'.
24
A. it'
had the material we would
2 5 start two year studies with rats, and that
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1 would be with Indus tria 1 Biotest o r i t s
2 p i v cl o r
or .
Okay?
An d there wer e
3 consulting laboratories that could a n d 4 w w i. 1 ' 3 r it, do c h r o n i c studies . You give
5 them a bucket of your s t uff and th e y ' d toll
6 you who 1 I lie two year m u Itiple bea s t study
7 showed .
8 Q . When you ) o i n e d the medical group
9 in St. Louis in 1954 we r e you aware of the
1 0 7- o u u 1 l u i.f chronic t o x i c ity studies related
1 1 to PCBs that had been -
where those
1 2 s l u ti i < r hud been p e r f o r m ed as of that date?
1 3 A . No.
1 4 Q . Air you aware o f whether or not
1 5 there were such studies at that point in
1 6 i i mf ?
1 ' A . Yes, there w e r e such studies don e ,
1 8 and we did most of them
On the bare rat
1 9 studies, we had them do n e prior to the ti m e
2 0 I came there.
I don't k n ow --
and the
2 ] studies of degradation a n d so forth were
2 2 done at Kettering later u nder Dr. Kelly's
2 3 supervision, and that w a s factored into' o u r
2 4 information that we gav e customers on P C B s .
2 9 Q . When you ref r i n your an s w e r to
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|GORE REPORTING COMPANY
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qn I
STLCOPCB4026405
1 degradation, are you referring to
?. degradation of chemical components in its
3 environment?
4 A . I'm referring to, in this case,
5 pyrolytic degradation under laboratory
6 conditions, because that's the only place
7 they could do it.
8 Q. Are you referring to decomposition
9 under fire?
] 0 A . That's right.
1 1 Q . And when you refer to bare rat
] 3 f,i m <! i i :. r are you referring to bare as a
1 3 condition, b-a-r-e, or the name of a
1 4 person. Bare?
] 8 A. No. Just stuff it in their gut
1 6 and see what happens.
At varying levels.
] 7 And this is an acute toxicity result.
1 8 Q . Were there acute toxicity analyses
1 9 with respect to PCBs when you joined the
2 0 medical group in St. Louis in 1954?
2 1 A. I don't know.
2 2 Q . Did you subsequently become aware
2 3 that such studies existed?
2 4 A. Well, I subsequently became aware
2 8 of what we used as standards at that
GORE REPORTING COMPANY .
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1 particular time.
And we --
I had no
2 problem with the fluids in the first
3 place.
In the manufacturing process there
4 were some problems, industrial hygiene 5 problems, but it had nothing to do with the
6 fluid product themselves. It had to do
7 with the precursors and so forth.
8 Q. What were the standards used by
9 Monsanto
when you joined the medical group?
1 0 A. We used the benzenestandard.
11
MR. PREUSS:
Are you talking about
1 2 acute, now, or what? 1 3 MR. TALLON: Well, in Mr.
1 4 Garrett'sanswer --
1 5 A. What we used to protect our
] 6 employees?
1 7 Q. Yes.
18
A. We used the
benzene standard of
1 9 the time, because it was the raw material
2 0 that started it.
21
Q.
That started it.
What's the "it"
2 2 in that sentence?
2 3 A. The chlorobiphenyls and what were
2 4 the problems in the manufacturing process
2 b related to the precursors.
Benzene.
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1 (Discussion off the record).
2
MR. TALLON:
After you joined the
3 medical group in St. Louis in 1954, Mr.
4 Garrett, did you become aware that there
5 were indications that Monsanto products,
e, including PCBs, had an effect on human
7 skin?
8 A. As a chemist --
9
MR. FREUSS:
Let me just object to
] 0 the foiin i.f the question as no foundation,
1 1 assuming facts not in evidence. You can go
] 7 P f1 ( ' , i :7 .
\. As a chemist, I already knew that.
14
MR. TALLON:
As a chemist, from
1 5 your work in Texas City or --
1 6 A. From work in the university.
] 7 Q. Okay.
1 8 A. Believe it or not, universities
1 9 also practice safety.
2 0 Q. When you joined the medical group
2 1 in St. Louis did you have any discussions
2 2 with O'. Kelly about the effects of
2 3 application of PCBs to human skin?
2 4 A. Yes. We discussed it in the sense
2 5 of what do we do, and he said we prevent it
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1 from being exposed to the skin as best we
2 can .
3 Q. After you joined -- by the way,
4 do you remember the approximate date or
5 dates of your communications with Dr. Kelly
6 on the subject of skin contact with PCBs?
7 A. No. I probably couldn't even get
8 close.
9 Q. Do you remember if it was in the
10 ' 50 ' s?
1 1 A . Probably.
1 2 Q Do you rec o 1 1 e c t any d i s c u s s i o n s ] 3 t h Mr. Wheeler on the s u b j e c t o f s kin
1 4 n t a c t with PCBs i n the ' 5 0 ' s ?
15
' A.
Of course. b e c a u s e he was m y boss.
1 6 and he sent me out to look at these units,
1 7 and he briefed me before I went, and after
1 8 that it was pretty much I briefed him on
1 9 w h a i I found, and that was about it.
2 0 Q. Did you ever report to Mr. Wheeler
2 1 0 7) your observations? Well, not ever.
2 2 During the 19 5 0 ' s did you report to Mr.
2 3 Wheeler on any observation s that you made
2 4 concerning the effect of s kin con tact with
2 3 PCBs?
GORE REPORTING COMPANY
ST. LOUIS, MISSOURI
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1 In all of the years I worked at
2 Monsanto a n d t h e many t h o u sand times I was
3 in those u n its I never s a w an individual
4 problem a t all w i t h any s k in or any
5 inhalatio n o r i n anybody ' s eyes or anywhere
6 else.
7 Q Any individual problem meaning an 8 individua 1 worker with --
9 A . Any individual worker in any of
1 0 the proce sses, and any workers that used it
1 1 that we h ad contact with enough to see.
1 2 Some cust omers, we went and talked to
1 3 them. In all those days I never saw a
1 4 single so litary case in any of our
] 9 d i spenser ies or ever saw it on their skin
1 6 or anythi n g else.
1 7 Q Do you agree that skin contact
1 8 with PCBs causes, or has an effect on skin?
19
MR. PREUSS:
I'm just going to
2 0 object, i t's vague. You're not describing
2 1 the type of PCB, where the contact is, how
2 2 long the contact is, what the dosage is.
2 3 A . I repeat, I have never seen any
2 4 skin mani festation, any inhalation
2 5 manifesta tion or any contact manifestation
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1 with any PCB in any worker or customer in
2 all the years I worked with it.
3
MR. TALLON:
Did you ever
4 pd t I i cipate in an analysis of inhalation
5 irritation of certain workers in England as
6 a result of breathing PCB vapors?
7 A. No, not that I know of. And it
8 would have to depend on who did it in
9 England for me to believe anything about
] Cl it, anyway.
1 1 Q. During the 1950's, did you discuss
1 2 with Dr. Kelly whether exposure to PCBs
1 3 resulted in liver damage or kidney damage?
14
MR. PREUSS:
Could result, you
1 5 mean?
1 6 A. Could result? We did liver
1 7 function studies on our workers for years
] B and nothing showed up. Now, let's look at
1 9 it fromthis point of view, we had
2 0 thousands of chemical materials as raw
2 1 materials in individual processes and
2 2 products, our responsibility was to cover
2 3 all of them, and any untoward effect on any
2 4 of our workers and any information that we
2 5 must pass on to our customer's workers.
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1 PCBswere so innocuous, innocuous in our
2 records, both health and otherwise, that
3 they got the usual look to see if anything
4 hdd changed.
Now, because they were
5 chlorinated aromatic hydrocarbons we did a
6 vast amount of work on them to make sure
7 this was not true.
8
MR. PREUSS:
Was true, you mean?
9 A . That this was not true. It was
1 0 true that these things were not harmful.
1 1 At what we considered operational
1 2 temperatures of the operations, I saw they
1 3 were not harmful. And I saw them making
] 4 floor tile out of the damn stuff. Which we
15
stopped, by
the way.
16
MR. TALLON:
My question, though,
1 7 is, didyou ever talk with Dr. Kelly about
1 8 whether exposure to PCBs resulted in liver
1 9 damage?
2 0 A. We talked to him about PCBs a
2 1 great deal, because PCBs became a popular
2 2 subject. And, again, in our own experience
2 3 as the only manufacturer in the whole
2 4 hemisphere for all these years, our people
2 5 had been studied and studied and studied,
IGORR REPORTING COMPANY
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1 and we studied the mate rials, we studied 2 the toxicology, we took them apart, we 3 burned them, we did eve rything we could 4 do. My honest opin ion is, in our use in 5 the manufacture and the use of the 6 materials that I sa w , a nd I saw the uses in 7 everything from foo d p r ocessing to 8 transformers and so for th, was there ever a 9 single -- thermal burn s, I could take you 1 0 to Union Electric, the only thing they ever 1 1 got with the PCB tr a n s f ormer fluids they 1 2 used were thermal b urns 1 3 Q. Did Dr. Ke 1 ly ever express to you 1 4 an opinion that PCB s we re related to- liver 1 5 damage or kidney da mage 7 ] 6 A. Dr. Kelly told me, and I already 1 7 knew, that chlorina ted hydrocarbons, if you 1 8 were going to judge a c lass of materials 1 9 that were hepatoren a 1 t oxins, you would 2 0 probably say they w ere chlorinated 2 1 h y d rocarbon s . Okay ? H owever, in the case 2 2 o f P C B s we n e v e r s a w it ever in a customer 2 3 o r anybody els e . W e ha ve never seen a 2 4 jus t i f i e d c a s e o f t o x i c ity in a worker in 2 5 all the yea r s w e m a d e i t, in both Europe
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i and the United States, period , Let's b e
2 honest.
3
MR. PREUSS:
You've answered
4 A . He asked me, and t h a t ' s my
5 professional opinion, and t h a t ' s my
6 professional judgment from mi 1 1 i o n s o f
7 looks at people and wa t c h i n g everythi n g
8 from phone manufacturi n g u s i n g it as a
9 hydraulic fluid to the stuff laying i n the
1 0 Goddamn ditches of a p r o c e s s i n g plant that
1 1 was a hell of a crappy plant . Nobody got
1 2 hurt, nobody.
13
MR. TALLON:
Did you ever
1 4 prescribe standards fo r w o r k e r s at Mo n s a n t o
1 5 who did work with PCB materia Is?
1 6 A . Yes.
1 7 Q. What standard s did y o u p r o m u 1 g a t e ?
1 8 A. I don't remem b e r .
] 9 Q . Do you rememb e r in g e n e r a 1 w hat
2 0 the standard involved?
2. 1 A. There were mi s t s t a n d a r d s an d
2 2 there were X amounts,
We n e v e r did s e e
2 3 anything near that sta n d a r d i n the a i r .
2 4 Q . Were there --
25
MR. PREUSS:
You ' v e answered i t .
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1 A. It's like throwing rocks in the
2 air, we didn't do it.
It wouldn't do
3 anything.
4
MR. TALLON:
Were there standards
5 other than mist standards?
6 A. Well, we're not saying mist
7 standards, we are talking about exposure
8 standards. We would talk about how can you
9 get biphenyls in a human system and cause
1 0 difficulty. We never saw it. But we still
1 1 tested for it, because it did belong to the
3 2 Tamily of materials that under certain
1 3 circumstances, and many of that particular
1 4 1 r. m i i y cf materials caused trouble. They
1 5 were commonly known as hepatorenal toxins.
1 6 Rut we never saw it, ever. And believe me,
1 7 we had people work their entire life, many
1 8 hundreds of them, with that stuff.
1 9 Q. Did you promulgate cautions or
2 0 directives on how to deal with these
2 1 materials or how to avoid exposure - -
2 2 A. Yes, we did.
2 3 Q. -- to Monsanto's workers?
2 4 A. We used our own standards with our
2 5 workers.
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1 Q . And what were those st 9 2 A . Wear glov e s , keep ever y t h i n g
3 button e d up. And it was, anywa y, really,
4 b e c a u s e this was a reactor of s ome size and
5 couple xity.
Do no t allow this material to
6 get on your shoes.
If so, you change
7 shoes . And all of the workers were given
8 c lothi ng and shoes , gloves and respirators ,
9 which we demonstra ted there was no need for
1 0 at all
1 1 Q . And can you describe how you 1 2 demons trated there was no need for the
1 3 respir ators or other equipment?
14
A . We never saw a case.
We never saw
1 5 a h u m a n being that had an out-of-standard
1 6 liver function. We never saw a sick man in
1 7 ail t h e years we made it. And all the
1 8 plants that had -- that all had
1 9 d i s p e n e r i e s did w e ever h a v e anyth i n g .
We
2 0 had -- more than a n ything el s e , we had
2 1 c o m p 1 a n t s that you guys are crazy. you
2 2 come i n here and tell us we have got to put
2 3 these people in moon suits and put
2 4 respir ators on them and there is nobody
2 3 ever g ot hurt with the damn stuff.
And we
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1 said yes, you do, because it is the
2 s t d ndard established by them, the OSHA
3 people. A nd we fought them hammer and /
4 / nd so did the other manufacturers
5 of any of these fluids, b ecause we had
6 never see n anything with them.
It takes an
7 enormous damn temperature to get them into
8 a gaseous state .
9 Q When you say we got complaints, 1 0 what are you referring to ?
] 1 A . I can remember g o i n g to a
1 2 processin g plant where th ey used PCB as a
] 3 p s (><<. s s i n g fluid -- 1 4 Q A Monsanto plant ? 1 8 A . A Monsanto plant . And telling
1 6 them --
giving them the litany about
] 7 P r niectio n.
And the nurs e and the
1 8 hygienist there, the safe ty director,
1 9 a c: l u a 1 1 y , just ate my ass out for telling
2 0 them that .
They've been make making it for
2 1 38 years and had never se en a damn thing by
2 2 anybody, and they said "W e got problems.
2 3 t ha I is n ot one of them".
24
Q Okay.
When you use the t e r m keep
2 5 buttoned up, what does th at mean t o y o u ?
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STLCOPCB4026417
1 A . Do you know -- really, this i s
2 t o sound silly, the only h a z a r d we
3 had was people slipping on i t .
4 Q Okay. b A . We did that -- in the ranks over
6 in the processing department we had to put
5i('p -prccr-f/ccrJnj .
,
7 in theA --
e put in the floo r^--t-u--# that
8 has little steel tipples in it, and we gave
9 them shoe S , Mon santo shoes , t h e y had t h 1 0 own shoes t had their names o n t h e m , and ] ] t hey c o u 1 d walk there with out s 1 i p p i n g .
1 2 And we had problems with that, slipping.
1 3 MR. PREUSS: The question was what
1 4 does button up mean. The question he asked
1 b you is what does button up mean.
1 6 A. What it means button up the system
] 7 s r > there isn't anything, including the
1 8 slop-out, that can create a mechanical
1 9 hazard of falling and breaking your neck.
20
MR. TALLON:
Do you have a
2 1 t oco] lection of when Monsanto workers were
2 2 asked to, or were made to wear gloves or
2 3 o r special cloth i n g , res p i r a t o r s ?
2 4 A . We had the p e o p 1 e in the p r o c e s s ,
2 9 his is prim a r i 1 y the proc ess a t
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1 Krummric h, East St. Louis plant that I k now
2 more a b o u t than the old one that used t o b e
3 down at Anniston . That one disappeared i n
4 my early days at Monsanto, so that's no
5 problem. You b 1 ended these materials t 0
6 v u r i ous fluid c h aracteristics. Okay? 1 n
7 other wo rds , p e o pie wanted the fluid fo r
8 its flui d charac teristics. What's the P our 9 point, w hat's t h e boiling point, what's the
1 0 solidifi e d point , how cold will it get
1 1 before i t s o 1 i d i fies and so forth. The e
1 2 are f1ui d charac teristics that dictated its
1 3 use. By the way , we talked to the Swed e s
1 4 about t h is thing , even, and they didn't
15
ever h a v e any p r oblems with it.
-i-' m--s-e-r-*--r-
1 6 ir
1 7 Q. Are you referring to Swedes
1 8 associated with the studies done by --
] 9 A. I'm talking about Swedes where
2 0 fe-h-e-y--t r-a-n o- p o-r -t-erd----- they used it in their
2 1 electrical transport system like we did.
2 2 And primarily in capacitors and
2 3 transformers.
'.
24
Q. Okay.
Just to jump back for a
2 5 moment, do you remember when Monsanto
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1 employees were advised to or made to wear
2 Tespirators or gloves or other protective
3 clothing?
4 A. They were doing it whenI came to
5 Monsanto. They were supposed to do it.
6 And the supervision then was not nearly as
7 good as it was later on in connection wit h
8 safely people in the individual plants.
9 When I left the company we had hygienists
1 0 in l he plants, professional hygienists in
1 1 the plants.
In the East St. Louis plant,
1 7 for the last 20 years we've had trained
1 3 professional safety people.
T h e s e are
] 4 people with degrees in safety engineering
1 5 and trained professional hygienists in
] 6 these plants. But believe me, their
1 7 problems were not in the PCB department.
] 8 Q. When you referred to the concept
1 9 of keeping the PCBs buttoned up or the
2 0 process buttoned up to prevent spillage or
2 1 leakage, do you know when that directive
2 2 was in place?
23
A. Before I came.
Before I came that
2 4 was the orders.
I just reinforced those
2 5 orders. Ifound some of the stuff open at
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1 times and raised cane with them. These
were storage -- largely storage 2
3 facilities .
4 (Noon Recess) .
5
MR. TALLON:
Why don't we have
6 marked as the next exhibit, that is.
7 Transwestern 111, a two page document
8 bearing production numbers Tran 058059
9 through 058060.
] 0 (Tianswestern Deposition Exhibit Number
1 1 111 mark'd for identification).
12
MR. TALLON:
Would you take a
1 3 moment and review that document, please,
1 4 Mr. Garrett? Have you looked at that
1 5 document?
1 6 A . Yes.
1 7 Q. Are you able to identify the
1 8 author of that document?
1 9 A. No. You don't have the last page,
2 0 I guess. No, I can't identify it.
2 1 Q . Do you have a recollection of
2 2 being asked to review a proposed response
2 3 to a reporter from the San Francisco
2 4 Chronicle?
28
A. Yes.
I remember --
I don't
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1 r e m e mber this one specifically, no. So,
2 m a y b e we should say on that, I don't
3 r e m e mber that one specifically, no.
4 Q . Do you have a recollection of
5 bei n g asked on more than one occasion to
6 r e v i ew responses to --
7 A. Through the years, yes.
8
MR. PREUSS: Wait a minute.
To
9 some body from the San Francisco Chronicle?
1 0 MR. TALLON: Yes.
1 1 A . No.
1 2 MR. PREUSS: Makesure he finishes
1 3 his question, otherwise you're answering
1 4 some thing different than what he might be
1 5 thin king about.
1 6 MR. TALLON: Do you have a
1 7 r e c o llection of reviewing proposed
1 8 7 e p o uses to reporters where the proposed
1 9 r e s p onse was addressed to the subject of
/,,
20 PCBs 9
2 1 A . No.
2 2 Q. Can you describe the purpose for
2 3 w h i c h you conducted the reviews that you
2 4 r e m e mber conducting?
25
MR. PREUSS:
I'm not sure -- I
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1 object to the form of the question as
2 mischaracterizing his prior testimony. He
3 said he didn't recall that.
4
MR. TALLON:
Do you remember
5 participating in a review of proposed
6 responses of Monsanto Company to reporters?
7 A. No, not specifically to
8 I e p o r t i.' i s . No.
9 Q Do you r e m e m b e r r e v i e w i n g proposed 1 0 responses of Mon santo t o outs i d e r s other
1 1 i it
t omers ?
1 2 A . No.
13
Q. Did your jobinclude
any
1 4 responsibility for reviewing company
1 3 slci laments to persons or entities outside
1 6 Monsanto?
1 7 A. From time to time on specific
1 8 subjects, yes.
1 9 Q. For what purpose did you conduct
2 0 that review?
2 1 A I f w e got quest ions i n , we had -
2 2 we t r i e d t o a n swer them. and i f anybody
2 3 else c o u 1 d n '' t answer the m in M o nsanto, we
2 4 got them.
2 S Q. And why, particularly, were you
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1 involved in that exercise?
2 A . Just asked by Dr. Kelly to do it.
3 This was my turn in the barrel.
4 Q . Refer, if you will for a moment,
5 back to the exhibit, Mr. Garrett.
You'll
6 see in the third paragraph in the last line
7 there is a reference to a Paul Benignus?
8 A. Benignus.
9 Q. Can you identify thatgentleman?
3 0 A. Paul Benignus, yes.
1 1 Q. What was his responsibility?
1 2 A. He was the product supervisor for
1 3 the aroclors. I think Paul is probably
1 4 dead now, but he was the product supervisor
1 5 for the aroclors. What his title was, they
3 6 changed them so frequently, I don't know.
1 7 He was the product superintendent or
3 8 supervisor of that product line.
1 9 Q. For what period of time did he
2 0 have that responsibility, as you understand
2 1 it?
2. 2 A. From the time I came to St. Louis
2 3 to probably into the ' 7 0 ' s or' so. And I
2 4 can't tell you exactly, I have no idea when
2 5 he actually left or went to some other
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1 duties o r whatever
2 Q . Was he included within the organic
3 chemicals division that you described
4 earlier?
b A . Yes, he was an organic chemicals
6 man.
7 Q . As you understood it -- or,
8 rather, as you used the phrase product
9 supervisor, what does that job entail in
1 0 the case of Mr. Benignus?
]]
A. He was the primaryliaison
between
1 2 the c o r p o ration and i t s -- the things it
1 3 c o u 1 d d o and the sal e s people in the field
1 4 Q , W h at do you mean when you use the 1 9 phrase the corporation and the t h i n g s that
1 6 it could do?
1 7 A. He was the man who knew the people
1 8 in the various corporatestructures, in
1 9 this case the staff, and where he could get
2 0 information to pass it on to his people in
2 1 the field.
And his people in the field
2 2 were the people that sold it.
2 3 Q. During your tenure atMonsanto,
2 4 and focusing particularly on the 1950's and
2 5 1960's, was there an office or department
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1 responsible for communications with the
2 pres s ?
3 A . We had a P.R. department, and it
4 had about three people in it. Everything
Ei conn e c ted with the press was usually bumped 6 over t o t h e m .
7 Q . And at any point in the 1 9 5 0 ' s and
8 19 6 0 's can you identify the persons who
9 work ed within the P.R. department?
1 0 A. No, I can't remember the names.
1 1 Q. There is a reference in Exhibit
1 2 1 1 1 to an R.W. Risebrough. Did you see ] 3 that name? 1 4 A . Yes .
] 5 Q. Do you know who R.W. Risebrough
1 6 is?
] 7 A . No .
18
Q. Did you
-
1 9 A. You blanked me there.
2 0 Q. Do you know if R.W. Risebrough is
2 ] a p r ofessor at the University of
2 2 Cali f o r n i a ?
2 3 A. The tone of the dispatch sounds
2 4 like somebody like that.
2 b Q. But is it fair to say from your
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1 answer that you did not have direct contact
2 with R.W. Risebrough, that you remember
3 today?
4 A . No.
b Q . Are you familiar with a company
6 the name of which is Texas Eastern
7 Transmission Corporation?
8 A. My sister worked for them until
9 she was medically retired in Houston.
10
Q. Inconnection withyour work
at
1 ] Monsanto, did you have any interaction with
1 2 Texas Eastern?
1 3 A. I had some interaction with pipe
1 4 companies, but -- pipeline companies, but
1 5 I don't recognize Texas Eastern as one of
1 6 the people we dealt with directly.
] 7 Q. And who is the "we" in that
1 8 sentence?
1 9 A. My group.
f_ '
2 0 Q . Can you identify other pipeli n e
2 1 companies with whom you dealt?
2 2 A . No. M o n s a n t o had a pi p e 1 i n e
2 3 p .i e c e, owned a part o ,f a pipeli n e comp a n y
2 4 i n the Lion Oil bun die , and the p r o c e s s 2 b the products of the -- the w e1 1 p r o d u c t s
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1 from out in west Texas came through a 2 portion of that pipeline. But it was like 3 many pipelines, it was multi-owned. 4 Q. Did you ever interact with 5 customers of Monsanto who were in the 6 pipeline business? 7 A. I sent my people to inspect and 8 e X . i in i t i ( I he hazards associated with 9 recycling oil from various oil fields that 3 0 i.iiin Oil operated or owned part of and 1 1 operated, and many of these recycling 1 2 planls were partially owned or jointly 1 3 owned with others and the pipeline 1 4 o p c i 1 ' ' i' 11 s from those. I don't recall the 1 5 names, but my people -- not I, but my 3 6 people had contact with them, yes. 1 7 Q. Did you or anyone working for you 3 8 have direct contact with any customer of 1 9 Monsanto who was in the pipeline business 2 0 for the purpose of discussing PCBs? 2 1 A. Not to my recollection. 2 2 Q. Did you ever discuss with Dr. 2 3 Kelly whether he had direct contact with 2 4 any representative of Texas Eastern in 2 5 connection with Monsanto's PCB-containing
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1 products.
2 A . T n f v c r did. I don't recall, that
3 I know. I can't recall it if I did.
4 Q. Do you i i -collect communications
5 with Mr. Wheeler where a subjccl of i h o s e
6 c o in m i, 11 c , i t i o n s was Mr. Wheeler's
7 interaction with Monsanto's customers in
8 the pipeline business when such
9 communications related to PCBs?
] 0 A . No.
1 1 Q. Have you ever heard of
1 2 Transwestern Pipeline Company, other than
1 3 th/ough our discussion this morning?
1 4 A. I heard about it yesterday. Yes,
1 5 '[ have heard about it before, as, being a
1 6 flanker to El Paso.
1 7 Q. I'm sorry being a what?
18
A.
As being an also --
a westbound
1 9 g a s n i p C system a 1 o n g s ide, north of -- in
2 0 the same genera 1 area as El Paso Pipe.
2 1 Q And in what c ontext did you hear 2 2 about that description?
2 3 A. I haven't the foggiest. In
2 4 messing wi t h the w e s t Texas crude setup we
2 5 dealt, with many p e o pie, and I don'' t
GORE REPORTING COMPANY
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STLCOPCB4026429
1 remember 2 Q . Have you ever heard of a Mo n s a n t o 3 prod ct known as Turbinol or Turbine 1 15 5? 4 A . Y r- r; . 5 Q . In wli at context did you fir s t hear 6 about Turbinol 15 3? 7 A . It w a s a--b-t-e-Trd--e---errre--o-f--te-h- _e- - - - - - - - - - - - - - - - . 8 one of the ble nds of one of the PCBs with 9 some other flu id materials, 1 0 Q. And u nder what circumstance s do 1 1 you remember h aving an initial conta c t or 1 2 did you become aware of the existenc e of 1 3 Turbinol? ] 4 A. I knew it was made, I knew that it 1 5 was one of the end products of PCB a n d 1 6 other fluids in our blending system, which 1 7 we did a number of. 1 8 Q And d o you re member approxi m a t e 1 y 1 9 when you bee a m e aware that Turbinol was one 2 0 of y our -- - one of Mon santo's end pr o d u c t s ? 2 1 A . N o . I would be just guessi n g . 2 ? Q Did y o u ever acquire any kn o w 1 e d g e 2 3 as to the use to which Turbinol was put by 2 4 its consumers? 2 5 A. What it was used for?
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1 Q . Yes. 2 A . Yes.
3 Q. What do you know about what
4 Turbinol was used for?
b A. It was turbine fluid. 6 Q. What do you mean by turbine fluid? 7 A. Because of its lubricity it was
8 used, and it's non-flammability or n o n - f i re
9 problems -- it was called fire-resis t a n t ,
1 0 Monsanto never did like to use
1 1 non- flammable -- with fire-resistant 1 2 fluids, it made turbine fluids, had enough
]3
lubricity with additives to be --
t o lube
1 4 the joints while it was used as a tu r b i n e
1 F> 1 iuid in high speed turbines.
1 6 Q. And do you know in what
] 7 applications the turbines were used where
1 8 Turbinol was used to lubricate the
1 9 t u / 11 i n e s ?
2 0 A. Gosh, yes. Primarily in th e
2 1 electrical industry.
2 2 Q I ' m sorry , I can'' t hear you 2 3 A . P r i m a r i 1 y in the electrical
2 4 .i n d u s t r y ,
2 b Q Are you a ware of any other
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1 application or use of turbines where those
2 turbines were lubricated with Turbinol?
3 A . We were asked questions from time
4 to time about some applications of
5 Turbinol, or of Turbinol type, which was a
6 PCB-containing turbine fluid. That means
7 more than -- we were never privy to all
8 the additives unless we asked and unless we
9 had any reason to doubt them.
So I've
1 0 looked at and studied, and my people have
1 1 checked on turbine fluids as a class used
3 2 in small and large turbines by a good many
1 3 Monsanto customers.
Now, I could not tell
] 4 you even closely what the blends were that
1 5 went to who.
1 6 Q. Okay. Do you know, of the
1 7 applications in which the turbines were
3 8 used, where those turbines were lubricated
1 9 with Turbinol?
2 0 A. TVA. I went to TVA in Knoxville
2 1 -- I mean, in Chattanooga, their safety
2 2 p e a [) l i' one time and spent a couple days
2 3 messing with them. And their interest was
2 4 in both water turbines and steam turbines.
2 5 Q. Did you or your people visit
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1 1 o c a tions other than the T V A location you 2 just referred to to ob s e r v e the turbine
3 a p p 1 ication?
4
A. I couldn't sa y
I really,
5 genu inely couldn't say . s ome of my people
6 had -- I gave them as m u c h latitude as
7 p o s s ible.
If they got cal led to go
8 some place that had som e t h i ng to do with
9 turb ines, they would h a v e determined what
ln
the status
was from th e f 1 uid people and
i l gone and made their be s t j udgment to the
] 3 i n d i vidual connected w i t h their specialty,
1 3 whic h was health.
]4
Q. Which was -- e x c use me?
,
1 5 A. Health.
] 6 Q. Did you acgui re a n understanding
1 7 of h ow the T V A turbine was to be used or
1 8 was being used?
1 9 A. It was my gen e r a 1 feeling that
2 0 they used a million tu r b i n es in varying
2 1 type s of methods, and t h e i r interest was
2 2 not my specialty as mu c h a s it was a
? 3 S 11 ( r ' m y r. r corrosion p e o pie and people
2 4 who understood rubber and rubber mater i a Is
2 S \i s (- cl -i jackets and so for t h , so I sicked
i i
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1 them on our rubber chemical people.
2 Q . During your tenure at Monsanto was
3 there a group whose function it was to
4 bc'cuinc familiar with the application where
5 Monsanto products were being used?
6 A. Any of the product groups had
7 developed -- well, Benignus was an
8 example. All the product groups had an
9 individual or a group of individuals,
] 0 depending on the complexity of their group,
1 1 of saleable products that liaisoned between
last&U5 ] 7 Monsanto and its many technical -f i-g-u-r eh o a-d-s
1 3 one way or the other and their customer.
1 4 And in many cases we went to the customer
1 5 with. them.
We never went without them,
1 6 let's put it that way, to a customer
1 7 without the product man with us. And that
1 8 was the salesman out of the regional sales
1 9 office, or his superior.
f_ '
2 0 Q. Did Mr. Benignus have
2 1 responsibility for acquiring knowledge
2 2 about the applications of the Monsanto
2 3 products for which he had responsibility?
24
A. I don't --
to tell you the truth,
2 5 I do not remember the extent of Benignus'
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res ponsibilities, so I can't really answer
2 Iha t question.
3 Q. Is it your understanding that a
4 per son in his position in the organic
5 c 11 * in'.
! i vision would have that
6 res ponsibil ity?
7 A . Yes.
8 Q . I'd like to have marked as
9 T r a nswestern Exhibit 112 a single page
1 0 cl ci c: ument bearing production number Tran
1 1 0 5 4 4 5 2.
1 2 ( 'J' 7 ci nr, western Deposition Exhibit Number 1 3 112 mark'd for identification).
14
MR. TALLON:
Have you taken a
1 5 mom ent to review that document, Mr.
1 6 Gar r e t t ?
1 7 A . Yes.
1 8 Q. And could you describe for the
1 9 r e c ord what that document is?
2 0 A. It's a letter to the safety
2 1 dir ector then of the W.G. Krummrich plant
2 2 0 f Monsanto concerning one of the stranded,
2 3 1 n this case isolated departments at that
24 p1ant .
2 8 Q. And what department was that?
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1 A. It's the aroclor department. One
2 of the biggest abuse was eating in the
3 process areas. And when I first went into
4 the biggest of Monsanto's organic plants
5 they ate in the process areas. And I
6 finally got them out of there into the
7 eating room where they belonged.
8.
Q. For therecord,Mr. Garrett,
could
9 you identify what you meant when you used
1 0 the term aroclors?
1 1 A. Aroclors were the Krummrich
1 2 produced chlorinated biphenyls.
1 3 Q. Were chlorinated biphenyls
1 4 produced at plants other than the Krummrich
1 5 plant?
] 6 A. When I first went to Monsanto they
1 7 were produced at Anniston, Alabama,
1 8 briefly .
1 9 Q. During your tenure at Monsanto
2 0 were polychlorinated biphenyls produced at
2 1 any other plants other than those two?
2 2 A. Just W.G. Krummrich Plant. And
2 3 the Anniston plant when that unit was in
2 4 operation .
2 b Q. And is that your signature?
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1 A . Yes.
2 Q. On the bottom of the document?
3 A . Yes.
4
Q. Are those your initials
in the
5 lower left-hand corner of the document?
6 A . Yes.
7 Q. Followed by the initials SMB?
8 A. Yes.
9 Q . And was SMB a secretary in your
1 0 group at that time?
]. ]
A. Yes.
Lord, I never would have
1 2 remembered that far back in 1955.
]3
Q. Did youprepare
thisdocument?
1 4 A . Yes.
1 3 Q. And was the document prepared in
1 6 the regular course of your business at
1 7 Monsanto?
1 8 A . Yes.
1 9 Q. And was it one of your functions
2 0 to prepare documents such as this document?
2 1 A . Yes.
2. 2 Q. For what purpose was this one page
2 3 document prepared?
2 4 A . T o stop eat i n g in the p r o c e
2 5 areas .
And the p r o c ess area i n this
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1 was Department 2 4 6
2 Q. I want to refer you to the first
3 numbered paragraph of Exhibit 112,
And I
4 refer you to the language which says, and I
5 quote, "Aroclor vapors and other process
6 vapors could contaminate the lunches unless
7 they were properly protected." What what
8 did you mean when you used the word
9 contaminate in that sentence?
1 0 A. Condensedaroclor vapor.
1 1 Q. And in what fashion could
] 2 condensed aroclor vapor contaminate
1 3 lunches?
1 4 A. It would condense on their lunch
1 5 bucket and/or their bag, whichever.
1 6 Q. And that was a reason why, in your
1 7 opinion, lunches should not be eaten in the
1 B p r r ess department?
1 9 A. That is my opinion why lunches
2 0 should not be eaten in any processing
2 1 department, and specifically that one in
2 2 this memo.
2 3 Q. In the second numbered paragraph
2 4 of this document you refer to the chance of
2 3 contaminating hands and subsequently
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1 contaminating the food. Are you refe r r i n g
2 to the possibility of a worker gettin g an
3 aroclor on their hands?
4 A . Yes.
b Q. And that, in your opinion, w as a
6 basis for prohibiting eating lunches i n
7 that department?
8
A. No.
The reason for prohibit i n g
9 eating lunches in that department was i t
1 0 was dangerous and foolish to eat lunc h e s in
1 1 chemical processing departments of an y 1 2 kind, and I cannot make that plant mi n d if
1 3 the individual units don't mind.
1 4 Q. It is correct, isn't it, tha t the
1 5 paragraph numbered 2 is identified as a
1 6 reason for prohibiting eating lunches i n
1 7 that department, that is to say, Depa r t m e n t
1 8 7 4 6?
] 9 A. I would say it was the prima r y
2 0 reason.
2 1 Q . The I bird numbered paragraph
2 2 states that "It has long been the opi n i on
2 3 of I lit medical department that: eating i n
2 4 process departments is a potentially
2 8 hazardous procedure." Did you write that?
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1 A. I sure did.
2 Q. And in that sentence where you
3 referred to the fact that it had long been
4 the opinion uf the medical department, what
5 period of time were you referring to?
6 A. My own boss' period of time, he
7 told me that himself.
I came back from one
8 of the piocess -- it may not have been
9 this one, and he told me that he didn't
1 0 wanl outing in the process areas, either,
1 1 and if I could beat them on the head, beat
] 2 them on the head, and I did.
1 3 Q. And in that answer, by your boss
] 4 art- you referring to Mr. Wheeler?
1 5 A. That's correct.
1 6 Q. In addition to the sentence I just
1 7 read you, the paragraph numbered 3 also
1 8 states that the early literature work
1 9 claimed that chlorinated biphenyls were
2 0 quite toxic materials by ingestion or
2 1 inhalation. Do you see that?
2 2 A. Yes.
2 3 Q. And can you explain to me or tell
2 4 me the early literature to which you were
2 5 referring?
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1 A . Decomposition 1 iterature that I
2 saw that was from somewh ere, I don't even
3 know.
I don't remember,
But if you'll
4 look abov e, you'll see " While the aroclor s
5 are not p articularly haz ardous," which wa s 6 our opini on, actually, a nd still is my
7 opin i on .
8 Q Do you know the publications in 9 which the early literature to which you
1 0 referred appeared?
1 1 A . In the health business in industry
1 2 the forma 1 appearance of formal literature
1 3 didn't co me along until late in the
1 4 business . Now, I'm not saying my
] 5 appearanc e on the scene, I came before this
1 6 happened, but a lot of it was in documents,
] 7 pamphlets , letters from customers or
1 8 letters f rom suppliers saying this product
1 9 can do t h us and so, and most of our made-up f^ `
2 0 opinions and reasons were mixed up in those
2 1 documents and not in formal documents. If
2 2 you under stand what I'm saying.
23
Q Yes.
When you use the term "early
2 4 literatur e work" in Exhibit Number 112,
2 5 were you referring to customer letters?
II I
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1 A . Very likely to that or a pamphlet
2 of some kind.
3 Q . And do you have any recollection
4 of the customer letters to which you were
5 referring, if they were included within
6 early literature work?
7 A . No.
8 Q. Do you have any recollection of
9 the identity of the pamphlets or other
] 0 mote-rials that were included within that
1 1 phrase "early literature work"?
] 2 A. No. it probably was connected
1 3 with - -
]4
MR. P R K ti S S :
Do you know?
1 5 A . No.
16
MR. F'RKUSS:
I don't want you to
1 7 guess.
1 8 A. T'd be guessing.
19
MR . TALL0N :
Do you h a v <
can
2 0 y o u y 5 v e ru e your best estimate a s to what
2 1 that phrase may have referred t o
22
MR . PREUS S :
He said h e would be
2 3 guess i n g , s o if he's guessing. h e can't
2 4 give --
23
MR . TALL0N :
You i n t e r r upted him.
II !
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1 I ' d like to have his ans w e r .
2
M R . PREUSS:
If he can give y o
3 best e s t i m a te, he will.
If he' s
4 spec u 1 a t i n g or guessing, he won ' t .
5 A . It probably cam e from the work
6 done by Dr. Treon .
7 Q. I'm sorry. Doctor --
8 A. Dr. Treon,
9 Q . And could you spell that last
] 0 n a in <- , please?
1 1 A. What?
1 2. Q. Would you please spell that
1 3 gentleman's last name?
] 4 A. T-r-e-o-n.
.
1 5 Q . And who is or was Dr. Troon?
1 6 A. He was, he is dead. He was a
1 7 toxicologist with the University of
1 8 Cincinnati Kettering Laboratories.
1 9 Q . Had Dr. Treon published works or
?. 0 1 i 1 <- I ri i Hi <~ b y Nov m b e r 1 4 , 1 9 5 5 w h i c h
2 1 r e 1 a t e d to o r t o u h e d o n i 1M issue o f 2 2 t r.i y i r c i u y o f P C B 7 2 3 A . T Cl I! ' t k n o w .
2 4 Q . Arc- you a ware o f whether by
2 5 November 14, 1955 D r . Tr e on did an y work
f
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1 relating to toxicology of PCBs? 2 A . The dates are difficult to judge. 3 It was in that period of time that some 4 w < 1. w -< 1 <> n e . b Q. And what work was that, as best 6 you recall? 7 A. Decomposition work on aroclors. 8 Q. Could you define for the record 9 whal you mean when you use the phrase 1 0 decomposition work? 1 1 A. Chemical disintegration of the 1 2 molecularspecies. 1 3 Q. And as best you recall it, what 1 4 was the conclusion or what were the 1 5 conclusions of the work which you have in 1 6 mind when you refer to decomposition work? 1 7 A. Depended on the temperature and 1 8 everything, of course. 1 9 Q. What depended on the temperature? 2 0 A. The decomposition state. 2 1 Q. And was that the only conclusion 2 2 of the studies which you have in mind, or 2 3 the literature work which you have in mind? 2 4 A. That's right. Now, you asked me 2 3 -- you approached this a different way. I
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1 do not know if that's what I had in mind.
2 You asked me do you know of anything that
3 could have, and that could have triggered
4 that comment. I don't know, it's too long
5 ago.
6 Q. I understand. In the paragraph
7 numbered 3 you wrote, "In any case, where a
8 workmanclaimed physical harm from any
9 contaminated food, it would be extremely
1 0 difficult on the basis of past literature
1 1 reports to counter such claims." Did you
1 7 write that sentence?
1 3 A . Yes.
] 4 Q. And do you have any recollection
1 5 of the past literature reports to which you
1 6 referred in that sentence?
1 7 A. Well, any reports on any material
] 8 that a worker got involved in would be
1 9 difficult to trace.
He says he got -- he
2 0 ate somearoclor.
Who's going to prove he
2 1 did not? That's my problem. We had very,
2 2 very little of that in Monsanto, of the
2 3 accusation that he did this or did that or
2 4 did something else. But it's possible.
2 5 And that's what it was there for.
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1 Q . D i d you keep a file or did anyone
2 working in y our group keep files rel a t i n g 3 to literatu r e on toxicology of c h e m i cals
4 used by Mon s a n t o ?
5 A . Ye s
6 Q An d in 1955 do you recall whether
7 therewas a
file or there were files
a relating to PCB toxicology?
9 A . I ' m sure there were, but of my own
] 0 d i i i-- < t know 1 edge, that far ago, I don't
1 1 know.
1 ? 0 . D .i d you maintain such files
1 3 personally?
1 4 A . Wo h..id central files for our
1 5 system, for the medical system. You
]6
m <i i n'
'
1
our own correspondence files in
1 7 your own de s k.
The only file I had in in y
] 8 of[ice was i n my desk.
1 9 Q Wh i ch file was that?
2 0 A . Th e only file I had in my office
2 1 when I work e d in Monsanto was a file in my
2 2 desk which c ontained largely personnel
2 3 records, sa 1 aries, salary set-ups, salary
2 4 schedules a n that s o r t of thing. The rest
2 5 of the stuf f e n t b y p r o c e s s , by product or
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1 by name into the regular file.
2 Q . Into the regular files of the
3 medical department?
4
A. That's right.
So everybody could
5 use them, that's right.
6 Q. And was there one person whose job
7 it was to maintain those files?
8 A. A very overworked secretary.
9 Q. Who was that, do you remember?
1 0 A. Oh, my, that was many different
] 1 people.
.
13
MR. PREUSS:
Are you talking about
1 3 in '55?
14
MR. TALLON:
I'm still talking
1 5 circa '55.
1 6 A. No, T can't. That would be
1 7 downtown at the Queeny plant, office
1 R bu i 1 ding .
1 9 Q . The f iles maintained in 1955 would
S^ '
2 0 be in the Quee ny office build i n g ?
21
A . No.
No.
They were moved out to
2 2 the m a i n off i c e. And much of them -- many
2 3 o f them were d estroyed becaus e they were
2 4 out o f date. f ar out of date, and the
2 5 amount of 1 i t e rature and reco r d s in
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1 conn ection with health concerns with
2 c h e m icals have expanded so immensely that
3 it's difficult to keep files except quite
4 up- i <>-date files. And it changes so
5 rapi dly, as well.
So the files that exist.
6 i f W e do h a v e them. m ay be some w h ere and
7 they may b e i n -- t h e y may be i n s t o r a g e ,
8 they may b e o n c o m p u t er records r the y 9 p r o b ably h a v e been d i sposed of.
1 0 Q. Would you mark as Exhibit 113,
1 1 plea se, a single page document bearing the
1 2. prod uction number Tran 019567.
1 3 ( T r answestern Deposition Exhibit Number *
1 4 1 13 mark'd for identification).
15
MR. TALLON:
Could you take a
1 6 m o m e nt and review that, please?
1 7 A. I'm through.
1 8 Q. Can you identify this document?
1 9 A . Yes. 2 0 Q. What is it?
'
2 1 A. I wrote it, it's in connection
2 2 with a question we were asked.
2 3 Q. I want to ask you a couple
2 4 q u e s tions about that format of the
2 5 d o c u ment, Mr. Garrett. This is a carbon
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1 copy, or it appears to be, right?
2 MR. PREUSS: This is a Xerox copy.
3
MR. TALLON: Right.
But the
4 original document is a carbon copy or a
5 copy of another document.
In 1961 did you
6 have a photocopying machine or did you use
7 carbon paper?
8 A. In 1961 we used carbon paper, or
9 we used a photocopying machine, the old
] 0 Kokak sloppies, they used a fluid material
1 1 in it.
1 2 Q. Printed out in purple ink?
1 3 A. Ours didn't get out in purple ink,
1 4 I don't think. It was a rather sloppy
1 5 process. We had a bunch of buttons back in
1 6 that little closet, we did it with a bunch
1 7 of pincher clothes pins to let them drip
1 8 dry. Better than having them recopied.
1 9 Q. Up in the upper right-hand corner
2 0 of the document there is a couple of
2 1 handwritten notations. Is one of those
2 2 your initial?
2 3 A . J T G , yes.
2 4 Q. What does the application of your
2 5 initial to the upper right-hand of the
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1 document signify, if anything?
2 A . I don't know. I don't know why 3 the hell I would c o p y -- put my ini t i a 1 s
4 o n my own d o c u m e n t . I have no idea why
5 t h a t ' s t h ere.
6 Q. Was it to indicate inclusion of
7 this document in your file?
8
A . No.
I would not have kept it in
9 my file.
It would have been in the
1 0 correspondence file for aroclors.
1 1 Q . And there is another set of
1 2 marginalia in the upper right-hand corner,
1 3 looks like an M and a little smiley face,
1 4 do you see that?
1 F> A. 24 something. I don't know what
1 6 that is.
1 7 Q. You don't recognize the
1 8 handwriting?
1 9 A. It could be a doodle, I'm a
2 0 terrible doodler.
2 1 Q. Do you remember the circumstances
2 2 under which --
2 3 A . Excuse me. I t looks like a
2 4 M o n s a n t o telephone n u m b e r, actually, a four
2 5 d i g i t -- in the old days before we got all
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1 the modern equipment our telephones were
2 four digit things.
3 Q. Do you know whose phone extension
4 that was?
5 A. Heavens, no.
6 Q. In 1961?
7 A . No.
8 Q. The format of thedocument, are
9 you able to tell from looking at this to
] 0 whom this document was addressed?
1 1 A. This one?
1 2 Q . Yes.
] 3 A. To A . T . Hinson. And he was likely
1 4 in the overseas division at that time.
15
Q. Are youdrawing
the conclusion
1 6 that Mr. Hinson was likely in the overseas
1 7 department because the text of the memo
1 8 refers to some experience in Germany?
1 9 A . Yes. q '
2 0 Q. And do you recollect the
2 1 circumstances under which you authored this
2 2 memorandum?
23
A. Except that
it came over from
2 4 overseas, very likely.
It probably went to
2 8 the local contact in Germany, went from
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i there t o the office in Brusse Is and from 2 there t o the office in St. L o u i s and from
3 there over here to me.
4 Q. The first paragraph of the memo
5 refers to a letter from a Mr. Hank or
6 Hanke, and the paragraph states, and I
7 quote, "It is our opinion that he has been
8 handling aroclors in a very incautious
9 manner." Do you remember the manner in
1 0 which --
1 1 A. No. I would assume Mr. Hanke is
1 2 German .
13
MR. PREUSS:
Don't assume.
Do you
1 4 remember the manner of handling?
1 5 A. I don't.
16
MR. TALLON:
But I think the
1 7 question was, do you remember the manner in
1 8 which the aroclors were being handled, to
1 9 which the memorandum refers?
2 0 A. No, not actually.
2 1 Q. What does that mean?
2 2 A. I don't -- there are some
2 3 European uses of it that we were violently
2 4 opposed to and finally stopped, and I don't
2 5 know -- and this is unfair to say that.
GORE REPORTING COMPANY
ST.
LOUIS, MISSOURI
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STLCOPCB4026452
1 because it may not be true in this case, so
2 that's the end of that.
3 Q. The next sentence in that same
4 paragraph states that "Based on American
5 industrial hygiene practices this might
6 even be called a dangerous manner." Do you
7 know what it was that you were referring to
8 as being dangerous?
9 A. Unless it was vaporized in the
1 0 breathing zone of the workers, I would not
1 1 have said that.
1 2 Q And why w a s that d a n g e r o u 1 3 A . Bee a u s e t h e y w o u 1 d breath
1 4 Q Did you a u t h or t h i s m e m o r 1 5 the r e g u 1 a r course o f your b u s i n e s
] 6 Monsanto?
1 7 A . Yes.
] 8 Q. And did you author it in response
1 9 to reading Mr. Hanke's letter on or about
2 0 Haich e, 1961?
'
2 1 A. That is what it appears to be.
2 2 Q. Do you doubt that that's what it
23 i K?
24
A. No, I don't doubt it.
But that
2 5 does -- there could, I suppose, be reasons
iGORE REPORTING COMPANY
ST.
LOUIS, MISSOURI 14L
STLCOPCB4026453
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'`
' i- i
t . m V' .* K 1 y 15^.
^ . r' d v ` ' 1
' f o ^ Mr. Hinson to
3 rely on your response in this m c m i j i . i i > d u m ? 4 A . T h ,i I ' i' i g h t . 5 Q . And it was part of y ou i regular 6 f unc tion at Monsanto to author memoranda
7 such as this one?
8 A . Yes.
9 Q . Why don't we mark as Exhibit 114 a 1 0 two page document bearing production
1 1 numb ers Tran 019568 and 019569.
1 2 ( Tr answestern Deposition Exhibit Number
1 3 1 14 mark'd for identification).
14
MR. TALLON:
Would you take a
1 3 tti o m c lit and review that, please? Did you
1 6 get a chance to review that? 1 7 A . Ye;;.
1 8 Q . Can you identify that document?
1 9 A . Yes. 2 0 Q. What is that?
2 1 A. It's a letter to a gentleman named
2 2 C` h e c e r at A r g o n n e N a tional Labora t o r y 2 3 cone r n i n g the use o f aroclor heat transfer 2 4 f 1 u i ds that they were proposing to do --
2 5 to u s e .
GORE REPORTING COMPANY
ST. LOUIS, MISSOURI 1 AO
STLCOPCB4026454
i
1 Q. Who wrote that letter?
2 A. It was written by myself.
3 Q. Do you remember the inquiry to
4 w h i c h you were responding in this letter?
5 A. Specifically, no.
6 Q. Did you write this letter in the
7 r e g u lar course of your job at Monsanto?
8 A. Yes.
9
Q. And did youwrite
this letter on
1 0 or a bout November 20, 1962 in response to a
] ] 1 e t t er sent to you or some communication by
1 2 M r . Charles Cheever?
1 3 A. Looking at the letter, I would say
1 4 it w asfrom a direct request
from Mr.
1 9 Cheever .
] 6 Q. By direct, you're referring to a
1 7 tele phone communication?
18
A.Letter
or telephone call.
1 9 Q. And do you recollect whether you
2 0 w r o t e this letter at or about --
2 1 A. It says that in there, by the way.
2 2 Q. Right. And do you recallwhether
2 3 you wrote this letter within a reasonable
2 4 time after you got that communication from
2 5 M r . Cheever?
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ST. LOUIS, MISSOURI
STLCOPCB4026455
1 A. Heave n s r I don' t k n o w . But i t 2 says November 1 3 t h and w e a n s w e r e d it 3 N o v e mber 20th, s o we did a f a i r 1 y dec e n t 4 job. 5 Q. And you intended Mr. Cheever to 6 re.ly on the information reflected in the 7 J otter? 8 A . I did. 9 Q. And responding to inquiries such 1 0 as the one from Mr. Cheever was part of 1 1 your job at Monsanto? 1 2 A. It was part of my job, part of Dr. 1 3 Kelly's job and part of Mr. Wheeler's job 1 4 at this time. I ended up inheriting this. ]. 5 I don't know any specific reason why I did, 1 6 other than it was a letter that needed 1 7 answering . 1 8 Q. The last paragraph on the first 1 9 page of the letter indicates that "In
f^ ' 2 0 experiments where suitable animals were 2 1 exposed to the decomposition products of 2 2 such fluids, toxic effects occurred in the 2 3 animals only at concentrations which humans 2 4 would not voluntarily endure," and so on, 2 5 I'm not going to read to the end of the
GORE REPORTING COMPANY
ST.
LOUIS, MISSOURI i & a.
STLCOPCB4026456
1 sentence. What were the toxic effects to
? which you referred?
3 A. You would get the same toxic
4 effect, essentially, from hydrochloric acid
5 fumes .
6 Q. What toxic effect was that?
7 A. Extreme irritation of the upper
8 respiratory tract, the eyes and ultimately,
9 if you can't escape, it would transfer to
1 0 the lower tract and you would end up having
1 1 acidity, just like swallowing acid.
1 2 Q. Were there other toxic effects
1 3 from exposure to decomposition products of
1 4 thefluidsreferredto?
1 5 A. Actually, ifyou'll --
16
MR. PREUSS:
Referred to in the
1 7 letter or --
18
MR. TALLON:
Yes, referred to in
1 9 the letter.
f^ '
2 0 A. Well, a bundling of decomp
2 1 products from pyrolysis would contain
2 2 carbon, and it did, because stuff was
2 3 black, soot, smoke was black.
It would
2 4 contain probably no individual compounds
2 5 because they would have been pyrolyzed, so
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ST.
LOUIS, MISSOURI
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STLCOPCB4026457
1 you would end up with carbon chlorine
2 hydrogen chloride, which would promptly
j
3 turn into hydrochloric acid in the moisture
4 of the atmosphere. We ran these at over a
5 thousand degrees fahrenheit, and it's on 6 the second page, the conditions. As a note
J
7 here, in Dr. Treon's work he showed that
8 below 600 degrees fahrenheit there was no
9 *=-------a-b o v e--6 0-6--t-h-ene--wa s--n-e- decomp products,
1 0 literally, they were the final pyrolytic 1 1 products down to L and L materials.
j
j
1 2 Q. You advised Mr. Cheever that "We
1 3 do not believe protective clothing
is
j j
1 4 necessary to prevent skin contact during
!
1 5 transfer of these fluids." Do you
see;
1 6 that?
|
17
MR. PREUSS: Where are you reading
j
1 8 from?
I
1 9 MR. TALLON: From the third
2 0 paragraph on page 1.
2 1 A. In pumps, the material at room
2 2 temperature was innocuous . -1-4--h-a d--e-ft-e------> 2 3 infe--trxrtrd-d:--dissulve--in--a--------- It ' was a , good
2 4 grease and oil solvent and it would
2 5 dissolve the oils out of the skin. It
GORE REPORTING COMPANY
ST.
LOUIS,
MISSOURI 1 AC
STLCOPCB4026458
1 could dry your skin, that's all.
2 Otherwise, it was just like putting your
3 hand in water.
4 Q. As of 1962, I believe you had
5 e a r1ie r testified that Monsanto workers
6 were advised to wear gloves and other
7 protective clothing?
8 A. They wore gloves and protective
9 clothing to keep the fluid off their skin
1 0 and to keep it out of their -b 1 o-o d y - lunch
1 1 box.
1 2 Q. Before sending this particular
1 3 letter to Mr. Cheever, do you recollect
1 4 having this letter reviewed by anyone at
1 5 Monsanto?
1 6 A. No, I don't.
1 7 Q . Was it your practice to seek
1 8 review of correspondence with outside --
19
A. Not necessarily.
This contains
- 2 0 the standard -- the information we knew,
2 1 and it's as good a thumbnail sketch as you
2 2 could get for a technical man. And Mr.
2 3 Cheever is a research engineer, as I
2 4 recall, over at Argonne, and he was working
2 5 on reactors.
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ST. LOUIS, MISSOURI
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1
MR. PRELISS :
There is no ques t i o n .
2
MR. TALLON:
If you weren't
3 finished with your answer, I would
4 appreciate it if you would continue.
5 A. No, there is nothing to answe r .
6 Q. I want to show you a document that
7 has a 1 ready been mark e d a s a n e x h i bit at an
8 earl i e r d e p o sition in t h i s m a 11 e r .
I m not
9 g o i n g to h a v e it r e m a r k e d .
10
MR . PREUSS :
C a n you give m e the
1 1 number?
12
MR. TALLON:
Frederick Exhibit 7.
1 3 Will you take a moment to review that,
1 4 please.
1 5 A. Yes.
1 6 Q. Have you had an opportunity to
1 7 review that?
1 8 A . Yes.
1 9 Q. Can you identify the document?
2 0 A. I can't identify it specifically.
2 1 I can identify that I did it and it would
2 2 easily fall within my purview.
23
Q . This is amemorandum
written by
2 4 you?
2 8 A . Yes.
i
GORE REPORTING COMPANY
S T LOUIS, MISSOURI
1 AQ
STLCOPCB4026460
1 Q. And it was -- was it a memorandum
2 written in the regular course of your
3 business? 4 A . Yes . Likely Pappage o r g e as k e d me 5 t o write i t , very likely. 6 Q Was the writing made on or about 7 Feb r u a r y 1 9 , 1 9 7 0 ? 8 A . T h a t's the date, yes 9 Q By the way, is this the kin d of ] 0 memo that you would dictate or would you
1 1 hand writeit and thenhave someone type it
1 2 for you?
13
A. It depended on which
of the
1 4 secretaries I had at the time. Some of
1 5 them could do it and some had their own
1 6 pigs for organic chemical names and others
]. 7 made a horrible mess of them.So if it was
1 8 the latter, I wrote it by hand; if it was
1 9 the former and the first secretary I had
2 0 there, she did it beautifully.
2 1 Q. And did you intend for Mr.
2 2 Pappageorge to rely on the information that
2 3 you were communicating to him in this
2 4 memorandum?
2 8 A. Yes. Well, I communicated it to
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GORE REPORTING COMPANY
ST.
LOUIS, MISSOURI
4*
STLCOPCB4026461
1 him because I wanted him to know what we
2 needed to do.
3 Q. Was it an important part of the
4 business of Monsanto that the information
5 you were conveying in this memo to Mr.
6 Pappageorge be as accurate as you knew?
7 A . Well, it was an assembling of the
8 information that bits and pieces of
9 information that we in the medical
1 0 department did. And Pappageorge probably
1 1 asked a question of us and wanted a letter 1 2 reply in connection with the Great Lakes
] 3 studies, and that's what it involved and I
1 4 gavehimthisletter.
] 8 Q. And you believed the information 1 6 that you gave him in this letter was
1 7 accurate?
1 8 A. At the time it was as accurate as
1 9 we could make it, yes.
2 0 Q. Now, this appears, again, to be a
2 1 copy of an original memorandum or letter,
2 2 correct? There is no indication, but is it
2 3 your testimony that this was to Mr. W.B.
2 4 Pappageorge?
28
A. Yes.
With a letter to Howard
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GORE REPORTING COMPANY
ST. LOUIS, MISSOURI
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STLCOPCB4026462
1 Bergen and Clay.
2 Q. A carbon copy or Xerox copy to
3 those gentlemen?
4 A. Yes.
E> Q. Who is Mr. Bergen? Or, rather, in
6 February 1970, what was Mr. Bergen's
7 position at Monsanto, as best you recall?
8 A. I would be remiss in telling you
9 anything, because I don't remember the
1 0 actual title. He was involved in this, in
1 ] the fluid group. Okay? 1 2 Q. He was involved in the fluid group
1 3 of the organic chemicals division?
1 4 A. That'scorrect.
,
] 5 Q. Was he a businessman or a chemist
1 6 oralawyer?
1 7 A. He was a businessman, primarily.
1 8 That doesn't mean he did not have a
1 9 technical degree.
As you know, in a
2 0 chemical company, very frequently the
2 1 businessman, even though he won't admit it,
2 2 is a chemical engineer or chemist or
2 3 somethinglikethat.
'
2 4 Q . And in the case of each of the
2 8 three names that appear on the top of that,
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GORE REPORTING COMPANY
ST.
LOUIS, MISSOURI
1 C1
STLCOPCB4026463
1 the first page of this exhibit there is a
2 series of letters; for example, after Mr.
3 Pappageorge it says
" W P A P A " , do you see
4 that, and after Mr. Bergen --
5 A. Water pollution --
6
MR. PREUSS :
He just asked you if
7 you saw it?
8 A . Yes.
9 MR. TALLON: One after C.L. Clay,
1 0 and it says C. Clay. Is that an
1 1 abbreviation meaning the names --
1 2 A. This, and one on Bergen would be
1 3 BRG .
1 4 Q What does t h at signify? 1 5 A . It's noth i n g more than a
1 6 transmis s i o n --
] 7 Q That was a n address or an address 1 8 system?
1 9 A. That's correct.
2 0 Q . Now, in February of 1970 where was
2 1 Mr. Bergen's office in relationship to your
2 2 office?
2 3 A I was at that t i m e i n the A 2 4 Buildi n g at M o n s a n t o a n d M r . B e r g e n ' s
2 5 o f f i c e w o u 1 d have been i n the B or E
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GORE REPORTING COMPANY
ST. LOUIS, MISSOURI
STLCOPCB4026464
1 Building. The organic division was in the
2 B building.
3 Q. Did you have any oral
4 communication with Mr. Bergen about thi s
b memorandum or the subjects in it?
6 A. Howard was the kind of person that
7 came over to your office and sat down a n d
8 drank your coffee and sat on your desk, s o
9 it is possible that we did get Bergen o v e r
1 0 there asking about it. But I have a
] 1 feeling that it was Pappageorge that
1 2 initiated it and Bergen simply got a co py .
13
MR. PREUSS:
Let me tell you, h e
1 4 wants to know what you can recall. He
1 5 doesn't want you to speculate on it. I f
1 6 you recall, that's fine.
If you don't,
1 7 don't speculate.
1 8 A. No, I don't know, then.
19
MR. TALLON:
I want you to ref e r
2 0 to the second name on the top of the
2 1 letter, C.L. Clay. Who was Mr. C.L. Cl a y
2 2 in February 1970?
2 3 A. i have absolutely no idea.
2 4 Q . Do you know if Mr. Clay was a
2 8 Mon r :i n 1 < 1 ii: p 1 o y e e ?
gorf: reporting company
st. louis, mi SSOURI
STLCOPCB4026465
1 A . No. 2 Q. Do you know whether a memorandum 3 such as this exhibit -- was it your 4 pTcictice to send memoranda such as this 5 exhibit to non-employees, that is to say, 6 outsiders? 7 A. The way it is written and the way 8 it is listed, he was an employee at the 9 main office of Monsanto, but I don't recall 1 0 him. 1 1 Q. Now, you referred a couple of 1 2 times to Mr. Pappageorge, the person to ] 3 whom this memorandum is addressed. What 1 4 was Mr. Pappageorge's position in February 1 5 1970? 1 6 A. At one point, and this is probably 1 7 the point after he got to this job, he was 1 8 responsible for the technical coordination 1 9 of fluids and some other chlorinated or 2 0 halogenated materials for that division. 2 1 Q. What do you mean by technical 2 2 coordination in that answer? 2 3 A. Well, there were sales 2 4 coordinators, you know, people that knew 2 5 who the customers were and what they used
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GORE REPORTING COMPANY
ST. LOUIS, MISSOURI
1 c; a
STLCOPCB4026466
1 it for and so forth, and then there were
2 people who liaised between the technical
3 branches, that is, research, development,
4 medical and so forth. And Pappageorge was
5 that guy for the fluid group at that time.
G Q. Did Mr. Pappageorge have
7 particular responsibility for
8 PCB-containing fluids or chlorinated
9 products?
1 0 A. The fluid he had the
1 1 responsibility for, yes.
1 2 Q. I want to refer you to the third
1 3 paragraph which appears on the first page
1 4 of this February 19, 1970 memorandum, and
1 5 particularly to the sentence which begins,
1 6 "At the present time we are holding a
1 7 request from Carl Clay."
] 8 A . Yes.
1 9 Q. Do you have a present recollection
2 0 of the nature of the request referred to in
2 1 that paragraph?
2 2 A. No. But I do know what it was
2 3 a b o u t . A n d I k n e w w h y w e d i d it. because
2 4 w e d i d i t f r e q u e n 11 y r and w i t h o t h e r
2 5 pro due t s a s w e 1 1 .
i f w e had two a f f a i r s
[GORE REPORTING COMPANY *
ST.
LOUIS, MISSOURI I 1 CT C I
STLCOPCB4026467
1 going o n con n e c t e d with a sin g i e product, 2 c o n n e c ted w i t h the heal t h asp e c t s of that
3 p r o d u c t , and w e had a r e q u e s t f o r
4 something, we always had to ask the
5 requester, and in this case it's Clay, do
6 you want us to wait until we have these
7 other data and send all of it to this
8 customer or do you want us to send it
9 piecemeal.
1 0 Q . The requester was Carl Clay from
1 1 Texas Eastern?
1 2. A. It had to have been Carl Clay.
13
MR. PREUSS:
You said Carl Clay
1 4 fromTexasEastern.
15
.
MR. TALLON :
That's what I said.
1 6 Has the requester Carl Clay?
1 7 A. Carl Clay was a Monsanto employee.
1 8 Q . Okay. Could you read that answer
1 9 back?
2 0 (The requested portion of the
2 1 record read by the reporter).
22
MR. TALLON:
In your answer you
2 3 referred to if you had two affairs going
2 4 on. Hhat are you referring to?
2 5 A. Hell, if you're doing toxicology
GORE REPORTING COMPANY
ST.
LOUIS, MISSOURI l =; a
STLCOPCB4026468
1 on aroclor fluids, yo u have a whole 1 o t of
2 identifiable aroclors , and we were pr 0 b a b 1 y 3 running toxicity stud ies on individua 1 4 aroclors, or studies for what Carl Cl a y 5 wanted on the individ ual aroclors, an d / o r
6 aroclor blends, becau se our fluid ble n d s
7 were not exclusively aroclor.
8 Q And do you k now if there was more 9 than one request pend ing from Texas
1 0 Eastern, is that what you're suggesti n g ?
1 1 A . Yes, that's what I was sugge sting.
] 2 Q Do you know what those reque s t s
1 3 were?
2 4 A. It probably was --
15
MR. PREUSS:
Do you know, is the
1 6 q u e r; l ion.
1 7 A . No. No. I don't of my own
1 8 knowledge, no.
19
MR. TALLON:
Do you remember the
2 0 nature of the request from Carl Clay t o
2 1 discuss the toxicity of Turbinol? Th at is
2 2 to say, what was the request?
2 3 A. No. I don't know the specif i c s of
2 4 the request, no.
2 3 Q. And you wrot e in that same
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ST.
LOUIS, MISSOURI
1 C. 7
STLCOPCB4026469
I paragraph Turbinol 153 is principally PCBs?
A.
V e r: .
3 Q . Where did you acquire that
4 information? 3 A . W e k n e w what was in all o
6 Q , D i d y o u have product i n f o 7 in the m e d i cal group describi n g t h
8 constituent elements of Monsanto products,
9 including Turbinol 153?
1 0 A. And the contaminants, if they knew
] 1 1 hem, we had them, yes.
1 2 Q. Did you believe at the time you
1 3 wrote this memo that Texas Eastern lacked
1 4 knowledge that this product is composed of
1 5 principally PCBs?
16 A . No . 1 7 Q . What i s m e a n t by the p h r a s e , " The
1 8 question that a r i s e s is do w e tell this
1 9 customer that t h i s p r o d u c t i s comp o s e d o f
2 0 principally PCBs " ?
2 1 A. Well, I asked the question of the
2 2 -- of Bill, who would have done the
2 3 answering anyway, do you want to tell them
2 4 that it's PCBs and/or PCBs and the ester
2 3 that was in there or not. And we were
GORE REPORTING COMPANY ,,
ST.
LOUIS, MISSOURI 1 58
STLCOPCB4026470
1 studying some of that blend. And do you
2 want us to wait until we've finished and
3 send the whole thing together or send it
4 piecemeal. We had a toxicity -- a
5 detailed toxicity summary of the aroclor
6 involved. Okay? Do you want me to send
7 Clay that and then later send him his
8 blend, because he knew the blend that
9 Turbinol represented, because it contain e d
1 0 a phosphate ester.
1 1 Q. When you wrote this memorandum,
1 2 did you have knowledge as to whether or not
1 3 Texas Eastern knew that Turbinol 153
1 4 contained PCBs?
3 5 A . Th i s 1 et t e r wrot e -- whe n I s aw
1 6 this 1 e t t e r a n d t h i s c o r r e s p o n d e n c e w i t h
1 7 Texas E a s t e r n / I d i d n ' t know they were e v e n
1 8 corresponding with them.
I frequently
1 9 didn't.
They sent me letters connected
2 0 with -- you saw the German letter, I ne v e r
2 1 had any idea that they were selling the
2 2 stuff in Germany, even.
But here's a
2 3 letter, what do we do. We answered the
2 4 same way we do others. We tell the Germ a n s
2 5 we'll send somebody over if we have to.
GORE REPORTING COMPANY
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LOUIS, MIS S 0 UR I 1 89
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1 And we probably -- from this, we probably
2 sent somebody down and -- to talk to Texas
3 Eastern with Clay present.
4 Q . For what purpose?
5
A. They obviouslyshowed
some
6 interest or we wouldn't have got the
7 letter. It looks to me like there is some
8 urgency from Clay's letter.
9 Q. But do you have a present
1 0 recollection of whether or not Mr. Clay
1 1 sent you a memorandum or a letter
] 2 describing the nature of the inquiry to
1 3 him, ifthere
was one?
14
A. I
suspect the -- I suspect the
1 5 inquiry went to Kelly.
16
MR. PREUSS:
Do you know whether
1 7 Clay sent you anything inwriting
1 8 describing the inquiry, is the question.
1 9 A . No.
20
MR. TALLON:
Do you know whether
2 1 Dr. Kelly received such an inquiry?
2 2 A. Somebody did.
23
MR. PREUSS:
He asked you whether
2 4 or not --
2 5 A. I don't know.
GORE REPORTING COMPANY
ST. LOUIS, MISSOURI
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I
1
MR . TALL0N :
Okay.
So, i n o t
2 words, y o u d o n t h a v e knowledge o f the
3 originati o n o f the i nquiry that r e suit
4 your writing this memorandum?
5 A . No.
G Q. If you look at the second page of
7 the memorandum, Mr. Garrett, there is a
a sentence which states, "In the case of the
9 Texas Eastern request, they want to know
1 C) whal lhe decomposition of products of
1 1 Turbinol 153 would be." Do you see that?
1 2 A. Yes.
1 3 Q . Does reading that sentence refresh
1 4 your recollection as to the inquiry or
1 5 r e q u e st from Texas Eastern?
1 6 A. No. And to tell you thetruth.
] 7 b a s r'd on the date, I don t know why we said
1 8 that final sentence. but we did
11
1 9 p r o b a bly was part of the boiler plate that
2 0 went to everybody, I don t know
2 ] Q. Who is the we in that sentence?
2 2 A . M e and K e 1 1 y and Wheeler, who
2 3 answered a 1 1 these crazy letters .
2 4 Q W e re you the sole author of this 2 8 document o r would Mr. Wheeler --
;
(GORE REPORTING COMPANY
ST.
LOUIS, MISSOURI .1 hi '
STLCOPCB4026473
1 A . No, I wrote the document.
2 Q. When you wrote in this memorandum
3 that we cannot give this information to the
4 customer withoutrevealing
that it is
5 principally a chlorinated organic, did you
6 believe that the customer lacked that
7 information?
8 A. That what?
. 9 Q. Did you believe that the customer
1 0 Jacked that information?
1 1 A . No.
1 2 Q. Then how can you --
13
A. I don't know what the basis is.
I
] 4 don't think there is any doubt he knew what
1 5 it was. He had it in the literature at the
] 6 time, for God's sake.
1 7 Q. So your sentence, we can not give
1 8 l. his information to the customer without
1 9 revealing that it is principally a
2 0 chlorinated organic is meaning-less, is that
2 1 your testimony? 2 2 A. I'm fishing --
23
MR. PREUSS:
I'll objec
2 4 A. I'm fishing for Pappage
2 5 tell me I can tell hi m that.
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1
MR.
PREUSS: I object to the form
2 of the question as argumentative.
3
MR. TALLON:
Can I have the
4 quo:. I i .. n back, please?
5 (The requested portion of. I ho
6 rernid read by the reporter).
7 A. At this date -
8
MR.
PREUSS: There is no question,
9 Mr. Garrett.
] 0 A. There is a period of time --
11
MR.
PREUSS: There is no
] 7 q upr 1 j on .
1 3 A. No question. There is a period of
1 4 time in company, big corporation movements
1 5 where some people do something and other
1 6 people don't, and you must get everybody
1 7 together to do it, and that's what I was
1 8 trying to do. I remember this because we
1 9 were trying to -- it was in our
/. `
2 0 literature. we sent th e m the literature
2 1 bundle that showed it.
22
MR ,. TALLON :
So - -
23
M R ,. PREUSS :
Wait f or a question.
2 4 please.
28
MR . TALLON :
What i s the
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i justification for making the statement that
2 we cannot give this information to the
3 customer without revealing that it is
4 principally a chlorinated organic with the
5 statement that the customer knew it? How
6 d o you r e c o ncile thos e two?
7
MR . PREUS S :
I 'll object to the
8 f o r m (. i l l h e question a s argumentative.
9 A . A person asked it from Texas
3 0 Eastern.
31
MR. TALLON:
What does the person
1 2 who asked it have to do with the
3 3 r ( conciliation?
3 4 A. You have to understand what he was
1 5 asking .
3 6 Q. Do you know who that person was?
1 7 A. No. But I have a feeling it was
1 8 probably somebody that may not have had the
1 9 technical background to understand what we
2 0 were talking about.
2 1 Q. Did you make a response to the
2 2 request from Texas Eastern?
2 3 A . You betcha., Most like 1 Y I t
2 4 depended on whether I was there or n o t . I f
2 5 I didn't. Kelly did it or Elmer did i t .
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1 Q. And did you make a response in
2 W J 3 ting?
3 A. I don't know from -- somebody may
4 h a v egone to
Chicago and done --
and did
5 it .
6
MR. PREUSS: Heasked if
you knew,
7 sir
8 A . I don't know.
9 MR. TALLON: Did you visit with
1 0 any representatives of Texas Eastern in
1 1 o r d er to respond to the request which is
] 2 ref erred to in this memorandum?
13
A. I don't know.
And the reason I
1 4 don ' t know is because I gave several talks
1 5 u p there, and one on PCBs
tothe industrial
] 6 h y g iene section of Chicago, and if that guy
1 7 was present, that's where he got the
1 8 inf ormation.
1 9 Q What is the c o n n e c t i o n between 2 0 Chi c a g o and T e x a s E a s tern?
2 1 A . I don ' t have the f o g g i e s t .
2 2 Q What is the basis for the 2 3 s tatement ?
2 4 A. It's in connection with the Great
2 5 L a k es study. We weren't studying Houston
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1 Bay.
2
Q . Right.
But now I'm referr I n g --
3 the memorandum appears to be devote d to two
4 topics. The first --
5 A . It's possible you're right
6 Q . The first topic appears to be a
7 discussion with ClaranceW. Klassen
to
8 discuss the PCB problem which had b e e n
9 brought up at Lake Michigan State
1 0 Pollution, correct?
1 1 A . Yes.
1 2 Q. And the memorandum states that, "I
1 3 gave Klassen the general party line
1 4 concerning PCB, its industrial uses and its
1 5 analysis, " correct?
] 6 A. That's correct.
17
MR. PREUSS:
That's one of the
1 8 things it says.
1 9 MR. TALLON : Thank you, Mr 1
2 0 Preuss. When you get the opportuni t y , I'm
2 1 sure you can redirect. In the mean time,
2 2 I'd appreciate your not continuing t o
2 3 interrupt.
24
MR. PREUSS:
Well, I would
2 5 appreciate you not just pulling sen t e n c e s
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1 out
paragraphs .
2
MR. TALLON:
When you want t o
3 examine the witness, you may do so.
If you
4 h u v e a n objection, state i t .
5
MR. PREUSS:
I ob jec t to th
6 q u e s t i o n as argumentativ e .
7
MR. TALLON:
Th e other i s s u
which
8 a p p e a r s to be addressed b y this m e m o a n d u m
9 is --
] 0 A. You're correct, it's separat e d .
1 1 Q Is t h e q u e s t ion o f Texas E a s tern? 1 2 A . Corre c t . I t ' s s eparat ed .
1 3 Q Now, the q u e s t i o n , t h e r e f ore , and 1 4 I just want the record to be clear on this,
1 5 is, do you remember giving a response t o
] 6 t lie request from Texas Eastern which i s
1 7 referred to in this memorandum?
1 8 A. No. I do know the rest of i t very
1 9 well.
2 0 Q . The rest of it --
2 1 A . The part about Klassen and the
2 2 Great Lakes study.
2 3 Q. For now I '' m g o i n g to f o c u s t h
2 4 questioning sole iy on t h e part r e 1 a t e d
2 5 Texas Eastern.
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1 A. No, I don't.
? Q. And do you know whether a response
3 was made by a Monsanto representative to
4 Texas Eastern, whether or not you made the
5 response?
6 A. I went to Texas with somebody for
7 something, and it had to do with fluids,
8 and I -- I wish I remembered.
9 Q. Do you remember where in Texas you
1 0 traveled to?
11
A. Houston.
One of the big office
1 2 buildings in downtown Houston.
] 3 Q. And do you remember the names of
1 4 any of the people you met with?
1 8 A. No. I just remember that I got
1 6 sent down there, or called down there, and
1 7 went to -- hell, it could have been the
1 8 Humbel Building, I don't do know.
It could
1 9 have been with Humbel Oil, which we had a
2 0 lot of dealings with.
2 1 Q. Do you remember approximately when
2 2 that visit was?
2 3 A. Probably in the '70's. And when
2 4 in the ' 7 0 ' s , I don't know.
2 5 Q . Do you remember with whom you
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1 traveled from Monsanto, if you traveled
2 with anyone from Monsanto?
3 A . No.
4
Q. Doyou remember
a nything about the
5 visit to Houston other tha n you made it?
6 A. I'm afraid I've 1 ed you astray,
7 really, in a way.
I went to Houston man y
8 times to talk to the Humbe 1 people and t o
9 talk to Shell technical pe ople. That wa s
1 0 before they moved a great many of them
1 1 out. And I knew those peo pie very well,
1 2 And we discussed a lot, in eluding fluids
1 3 and because they used them , too, in thei r
1 4 field groups, field equipm e n t r and I don ' t 1 5 know. The reason I get mi x e d u p wit h T e x a s
1 6 Eastern, my sister worked the r e and I w a s
1 7 in Houston one day and I s a w h e r , I went b y ] a and saw her in her office i n t h at da m n
1 9 building.
Now, what was I doing there?
I
2 0 don't know. So the best i dea is to say w e
7 1 don't know.
Q. ;i I i- " ' from your answer that as
2 3 you sit here today and testify you don't
2 4 h h v < ,i
r <. ] ] c c t i o n of having met with
2 5 representatives of Texas Eastern f or
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1 business purposes?
2 A . No. A clear one.
3 Q Okay.
4 A. Clear recollection. A clear
5 recollection.
6 Q. Well,when you use the word clear
7 in your response it makes me wonder whether
a there is anything other than what you've
9 told me so far that you remember about a
] o communication with Texas Eastern
1 1 representatives?
1 2 A. T'm going to depart for a minute
1 3 and give you a five minute lecture of
1 4 something that you need to know that
1 5 chemical companies and technicalproducers
] 6 of hazardous materials did. They followed
1 7 what was called the DuPont rule.
We did
1 8 not
completely follow that rule, but to a
1 9 certain extent we did. And that is,you do
2 0 not tell technical information except to
2 1 technical people who are qualified to
2 2 understand it.
That's DuPont's standard,
2 3 it's written intheir concrete.
And we had
2 4 a hell of a time, because our plants
2 5 couldn't get information from DuPont. We
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1 could, but the plants couldn't, under that
2 premise,
Because they -- their medical
3 people knew our medical people and knew we
4 knew what we were talking about and they
5 would send it to us.
In respect to many
6 o i 1 companies, with the exception of
7 Standard Oil of New Jersey and Shell, we
8 didn't know if they had people who knew how
9 to deal with the data. And part of this
1 0 may have had to do with play on the phone,
1 1 finding out if Texas Eastern has got
1 2 t echnical people that
1 3 data. I ' m sorry , I ' m
1 4 Eastern, but you ' d be
1 5 the place s that they
1 6 began to follow g e n e r
1 7 premise. You t a lk a b
1 8 W h a I a T L V iS?
1 9 Q . Me?
2 0 A. Yes.
2 1 Q . Why don't you tell me?
2 2 A. It's a threshold limit value.
2 3 Does anybody know what MTD isand all these
2 4 other things? That's the point. How can
2 5 you give them this kind -- these kind of
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1 data, looking at the data we gave to some
2 of these people, TLVs, MTLs, LD 5 0 ' s , LD
3 100's, that sort of stuff. Now, if you
4 handed all that stuff out to somebody that
5 had no one to interpret it for them within
6 their staff would be foolish and we
7 wouldn't give it to them. And I'm afraid
8 n. .1 ybe that's what this represents.
In
9 other words, to Clay,tangentially.
I'm
] 0 saying do they have anybody there that
1 1 knows how to read it.
] 2 Q . tsitfairtosaythatasof
1 3 February 1970 your understanding was that
1 4 there were people at Texas Eastern who
1 5 didn't have information about the
3 6 constituent elements of Turbinol?
1 7 A. Telling them that we in the
1 8 medical department did not know if Texas
1 9 Eastern had people in their Houston place,
2 0 wherever they were going to get it, that
2 1 could interpret properly, or we'd send
2 2 somebody down that could for them. That's
2 3 the whole point.
2 4 Q. is it fair to say that the last
2 5 paragraph of your memorandum on the bottom
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1 of page 1 of the memo, top of page 2 2 7 f f i t- r 1 : your understanding that Texas 3 Eastern lacked the information referred to 4 in t!i m i paragraph? 5 A . Absolutely not. 6 Q . There is no indication from this 7 memo that Texas Eastern had that B information, is there, Mr. Garrett? 9 A. No. But we and Pappageorge and 1 0 Howard Bergen worked together. We knew 1 1 handing raw toxicity data, uninterpreted, 1 3 to some people was foolish and dangerous. 1 3 That it would be easier to go explain to ]. 4 them, if they had no one who could explain 1 5 it to them. And many people didn't have 1 6 these kind of people on their staff. I 1 7 don't even know, if I'd have been running 1 8 Texas Eastern, if I would have had them on 1 9 the staff. Why would he do it? They're 2 0 transmitting materials, they have a hundred 2 1 or two materials to be worried about, not a 2 2 zillion like a chemical company. But we 2 3 were asking the question, probably, to 2 4 P a p p a g e o r g e and B e r g e n , hey, s h o u 1 d w e d o 2 5 this or s h o u 1 d w e w a i t until w e ' v e got t h
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1 t h i ng interpreted with the results of some
2 a 8 c i i i o n a 1 studies before we do it.
It's
3 str ange that I didn't state in there why
4 d n [: ' i we send somebody there to go with you 5 t o see Texas Eastern, to make sure they
6 k M'.' w vital we're talking about. Because
7 mis understood toxicity data has got - oh,
8 m y goodness, we've even been in court suits
9 o v e r it, violation suits over it,
1 0 m i s understanding of the numbers, and what
1 1 the letters, all the LD 5 0 ' s and that sort
1 7 n f stuff mean. So we knew better. I
1 3 did n't know what it meant when I came to
1 4 r. t . I.nuis .
]8
MR. PREDSS:
Wait for a question,
1 6 M r . Garrett.
]7
MR . TALL0N :
Other than throu g h m y
1 8 des
p t i o n this mo rning, are you fami 1 i a r
19 w: t 20
r a n s w e stern P ipeline Company?
f^ '
. N o . Other than knowing that
it ' s
21 a g
piper on the -- going west out o f
2 2 SOU thwest Texas.
2 3 o , And I t a k e i t from that a n s w e r
2 4 you ' v e never c o m m u n i c a ted w i t h a n y
2 b rep l e s i n t a t i v e o f t h e Trans w e s t e r n Pipeline
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1 Company?
2
A . No.
That is not -- that's
3 incorrect, it's possible that I did, but. I
4 dicin'l recall it.
5 Q . You don't have a recollection as
6 you sit here today?
7 A. I don't have a recollection,
8 that's right.
9 Q. You testified, I believe, that you
1 0 didn't know who Mr. Clay was?
] 1 A . No.
]7
MR. PREUSS:
Other than a Monsanto
1 3 employee.
14
MR. TALLON :
Correct.
1 5 A. He must have been in St. Louis.
1 6 And I deduce that from the address after
1 7 his name.
The address would have had
1 8 Houston on it if he was in the Houston
1 9 sales office, it would have had HOU on it.
2 0 Q . Is there any significance to the
2 1 fact that Mr. Bergen's name is listed first
2 2 as between Bergen and Clay?
2 3 A. Most likely Bergen was Clay's
2 4 boss.
2 b Q. During the '70's did you have a
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1 p r a c tice with respect to keeping files or
2 peri odically destroying them?
3 A . W e p riodical 1 y d estroyed
4 c o r r espondenc
files .
Now -- and b e 1 i eve
5 m e , this led o one of u s reading most o f
6 t h o s e files,
That was the biggest pain i n
/ the tail you' e ever s e e n , it took days t o
8 do i t , and p u 11 out what we knew as
9 1 i t e r a t u r e , a nd that we wanted in our
1 0 1 i t e rature fi le. And some of these kind of
1 1 1 e t t ers would go in the literature file
1 2 b e c a use it me ntions a company we had not
1 3 deal t with be fore in our view, that's Texas
] 4 Flast e r n . Oth erwise, it would have gone in
1 5 the junk or g one into the -- in the
1 6 s t o r age.
] 7 Q . I n y our answer when you used the
1 8 term s "we" an d "our" to refer to the fact
1 9 that we had n ot dealt with Texas Eastern,
2 0 you' re referr ing to the medical group?
2 1 A . That 's right.
2 2 Q. Base d on your understanding of the
2 3 way that file s were maintained at Monsanto
2 4 in F ebruary 1 970, where would a written
2 5 requ e s t from Texas Eastern have been
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1 maintained?
2 A . It probably would have been in the
3 correspondence file o f Howard Bergen, and
4 it';; probably been de stroyed long since,
5 since Howard's been g one many years.
6 Q. In the '70's , how long did you
7 keep your files, if y ou had a regular
8 practice?
9 A. Don't laugh, but when we couldn't
1 0 get anything else in the file it was time
] 1 to strip fil.es. And we had a bank of
1 2 files, and Monsanto h ad some kind of
] 3 something in their ea r that irritated them
1 4 about those files.
A nd these people threw
1 b away most of our file s, lawyers, anyway,
1 6 just from pure orneri ness of lawyers, and
1 7 then they give us hel 1 because we couldn't
1 8 find things they thre w away. He's just
1 9 representing other pe ople, but our own
2 0 lawyers did that. I think what you mean is
2 ] how long are correspo ndence files held?
2 2 Q. Sure.
2 3 A. How long are data files held?
2 4 Correspondence files, probably a couple of
2 5 years, depending on t he subject and
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1 depending on the individual that wrote it. 2 He may have wanted them because he's still 3 dealing in the same ball park. If it was a 4 data file letter or one of importance that 5 we felt brought up a new subject we may 6 have kept it in the data file. And 7 Monsanto does have a red book. 8 Q. A red book? 9 A. A red book. 3 0 Q . What is a red book? 1 1 A. File clearance book, instructions 3 2 on clearing files and keeping them cleared. 1 3 Q. Was such a book in existence in 1 4 1 97U? 3 S A. If it was, I never saw it. 1 6 Q . When was the first book put into 1 7 use, as best you recall? 1 8 A. I saw them back in the late ' 7 0 ' s, 1 9 the first book c am e out. 2 0 Q . Did there come a time during the 2 3 course of your career at Monsanto when 2 2 files relating to PCBs were collected? 2 3 A. I think every one of my files were 2 4 collected at least a thousand times for 2 5 court suits of one kind or another. No,
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1 that ' s not -- and I got them back. usually
2 in very disorderly arrangement .
3 Q Was there ever a particular focus 4 1 h a t y o u recall in the collection of files
5 relating to PCBs?
6
MR. PREUSS:
I'll object
tothe
7 form. What do you mean by focus?
8 A. I think they did pick them up for
9 PCBs .
But I ' m s a y i n g aim o s t yes, b u t I ' m
1 0 not really - - they "t o o k s o many b a c k i n
l 1 the late '7 0 ' s and e a r 1 y ' 8 0 ' s that I can't
1 3 7 t >1 1 iy say.
I real iy can ' t say.
1 3 Q. Do you know who was in charge of
1 4 ihr- collection process?
1 5 A . Well - -
1 6 MR. PREUSS: Do you know who was
1 7 in charge of the collection process?
] 8 A. There is a whole number of people
1 9 that have been in charge. But the problem
2 0 -- we're getting mixed up with the red
2 1 book. You're talking about clearance of
2 2 files, just to keep the file cabinets down,
2 3 came because of the legal implications of
2 4 many of our files. And we asked the law
2 5 department to help peel files in response
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1 to the red book
demands, because of what
2 they wanted or didn't want.
And we'd keep
3 what they said, yes.
And it got to the
4 point where they didn't -- their enthusiasm
5 for coming over and going through our files
6 turned out to be zero or minus numbers.
7 But we did some
of it. I think every
8 company has been in the same ball game,
9 what do you keep, what don't you keep, and
] 0 particularly in the medical and industrial
1 1 hygiene occupational safety business. I
1 2 don't know.
1 3 Q. Do you recollect the names of any
1 4 of the people whom you remember to be
1 5 i n v o 1 ved with the process of collecting the
1 6 filesrelatedtoPCBs?
1 7 A . No.
] B Q . Do you know who L.A. Watt is?
1 9 A. Watt, W-a-t-t?
20
Q. Yes.
W-a-t-t.
21
A. No.
Either no or I don't recall.
22
MR. PREUSS:
If you're going on to
2 3 another subject, I'd like to take abreak.
2 4 (Recess)
2 5 (Transwestern Deposition Exhibit Number
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1 115 mark'd for identification).
2
MR. r A L L 0 N :
I've asked the
3 reporter to mark as Exhibit 115 a d < r u m n t
4 bearing production numbers Tran 017181
5 through 183. Mr. Garrett, I would ask that 6 you please take a look at that and when you
7 have completed your review to indicate so.
a
MR. PREUSS:
Would you like him to
9 read it all?
]0
MR. TALLON:
Sure. Did you review
1 1 that document, Mr. Garrett?
1 2 A . Yes . 1 3 Q . Can you identify the document for
1 4 therecord?
] 3 A. I apparently wrote it, but I don't
1 6 -- I don't know when at all.
17
Q .The first
sentence onthe first
1 8 page ofthe document states, and
I quote,
1 9 "Current data indicates that PCB type r^ '
2 0 materials may be more hazardous to working
2 1 personnel than had previously been
2 2 considered." You wrote that sentence?
2 3 A. Yes.
2 4 Q . Do you know what data is referred
2 5 to in that sentence?
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1 A . Some additional data on airborne
2 contaminants from other exposures, not from
3 us .
4 Q. What was the source of that data?
5
A.
I b e 1 i e v e it was --
i t came; r i o m
6 0 t r ip t h a t w a s mad e to Europe a n d s o m e o f
/ the d i s c u s s ion with the Europea n s , and
8 particularly the Dutch, and the use of
9 these materials.
) 0 Q. I'm sorry, what was the end of
1 1 your sentence? Particularly the Dutch 1 2 and --
] 3 A. In connection with use of these
1 4 materials.
1 8 Q . I).id icpresentatives of Monsanto
1 6 make that trip to Holland, or wherever in
1 7 Europe it was made?
1 8 A. It would have been the case, most
1 9 likely. I can't be absolutely sure.
2 0 Q. Were you one of those who went to
2 1 E u rope?
2 2 A . No.
2 3 Q. Was Dr. Kelly --
2 4 A. I've been in Europe, but not in
2 3 t h .is c a s e .
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1 Q . In connection with this
2 A. It could have been Dr. Kell y , it
3 could have been anybody.
It could h a v e
4 been someone else.
5 Q. It could have been some of the
6 people in the product group?
7
MR . PREUSS :
He asked i f
u
8 knew.
9 A . No, I don't know.
10
M R . TALLON :
What was t h
1 1 information or the i mport of th e
data?
1 2 A. I don't recall.
1 3 Q. Do you recall what about th e new
1 4 data indicated that there was a chan g e or a
1 5 greater indication of hazard than ha d
1 6 previously been believed?
] 7 A. That's what it says.
18
Q . Right.
Do you know what it was
1 9 about the data that was different? f^ `
20
A. No.
But it had to be somet h i n g
2 1 connected with it being toxic in som e form.
2 2 Q. Can you be more specific th a n
2 3 that?
.
24
A. No.
Because I don't recall i t .
25
Q . The document is not dated.
Do you
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1 believe that this is a document that you
2 pit pared in the regular course of your work
3 for Monsanto?
4 A. It may have been part of a report
5 or may have been an additive for letters
6 written connected with it.
7 Q . Was either of such preparations
8 within your regular course of work for
9 Monsanto?
1 0 A . Yes.
] 1 Q. And you intended the information
1 2 inheretoberelieduponbyits
] 3 recipients?
1 4 A . Ye s .
.
] 5 Q. The paragraph goes on to read, 1 6 "Based on these facts, the control of
1 7 exposure ofworkers where
PCBs are
1 8 manufactured or used should be re-examined
1 9 and made more restrictive." You wrote
2 0 that?
'
2 1 A . Yes.
2 2 Q . Do you recollect the restrictions
2 3 to which you were referring in that
2 4 pa i .kjj dph and in that sentence?
25
A. Idon't know.
I
don't know
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1 exactly what --
we t urned around right
2 below it and put down the standards,
3 Q. Right below it, are you referring
4 to the next sentence?
5 A . Right below that statement we say
6 "Currently, the Ameri can Conference of
/' Governmental Industri al Hygienists shows"
8 thus and so.
9 Q. And the para graph concludes that
1 0 "Very limited analysi s in the aroclor
1 I department indicates that the airborne
1 2 concentrations are be low these numbers,"
]3
c o ! oect?
1 4 A. That's right
1 E> Q. Do you remem ber whether the new
1 6 data suggested to you that the American
1 7 Conference of Governm ental Industrial
1 8 Hygienists standard w as too high?
19
A. No.
I don't know.
I t may have
2 0 indicated that it was p o s s i b 1 e they would
2 ]. reduce it, but I don'
know.
I don ' t know
2 2 what occasioned that
a r t i c u 1 a r s e q u e n c e of
2 3 sentences .
2 4 Q . Are you a b 1 e t o judge the 2 5 approx i m a t e date t h a t you wrote this memo
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S T LOUIS, MISSOURI
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1 by the re ference to the particular 2 t h t t :; h < < 1 d limit values referred to in the 3 first par a g r a p h ? 4 A . T would suspect sometime in the 5 mid ' 7 0 ' s 6 Q And whal is that suspicion based 7 on? 8 A . The- location and the time the 9 ACGIH cam e out w i t li their s 1 a n d a r d s . 1 0 Q When did the ACGIH come out with 1 1 its stand a r d s ? 1 2 A . Tt was in 1971 or '12. 1 3 Q Is the ACGIH still in existence ] 4 i (> 11 , i y ' so far as you know? 1 5 A . Yes. 1 6 n . Do you know where the ACGIH is 1 7 headquart e r e d ? ]. 8 A . Well, it is an organization made 1 9 up of gov e r n m e n t a 1 hygienists, and it was
f^ M
2 0 head q u a i t e r t- d in Cincinnati at one time. I 2 1 think tod ay it -- I don't know that it - 2 2 that the ACGIH still has the TLV 2 3 committee s, I think that OSHA has them, and 2 4 they took -- the ACGIH standards had their 2 5 beginning when OSHA began putting out the
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ST. LOUIS, MISSOURI i pP
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1 standards as federal law, and they used 2 ACGIH standards initially. And as is the 3 case, they change them when there seems to 4 be evidence that they need changing. 5 Q. Is the ACGIH a membership 6 organization, or was it? 7 A. It is a membership organization. 8 One restriction, you have to be a 9 governmental employee. Now, that's the 1 0 broadest application. The university 1 1 people and that sort are considered 1 7 governmental employees. But no industry 1 3 and no direct regulatory people could be.
But, otherwise, it is a membership affair, ]4
1 5 youpayduesandeverything. 1 6 Q . I want to refer you to page 3 of 1 7 that exhibit, and in particular to the ] 8 caption "Environmental Contamination." Do 1 9 you see that? 2 0 A. Yes. 2 1 Q. The document states that "We would 2 2 recommend that all means be exercised, 2 3 pi t Iim [Brough engineering changes or 2 4 through work practice changes to minimize 2 h p ri v i i c n mental releases, either by air,
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1 wat er or through solid residues." And it
2 g ci e
(i ' o saythat, "In short, wewould
3 r e c ommend that
all means within the limit, s
4 0 f p rn hMi; i r feasibility be utilized to
5 1 i m it releases of these materials into the
6 cnv i
" Do you see that?
7 A . Yes.
8 Q. You wrote that?
9 A. Yes.
10
Q.Who is
the "we" referred to?
1 1 A. Monsanto.
1 2 Q. And what was the basis for the
1 3 r e c ommendation that all me* a ns bo o x e i e i s e d 1 4 t O in i n i in j z r environmental releases?
1 5 A. Obviously, there wassome data
1 6 pro duct'd somewhere, and that is --
and
1 7 t h a t sentence, or that paragraph is suit of
1 8 S 1 cl n d a i d boilerplate for use in -- we
1 9 s h o uld always, in a material, reduce it. to
2 0 t. h p economic -
to the engineering degree
2 1 w e can with an economic reality. They
2 2 she uld do .it to everything, and we did at
2 3 Mon santo.
2 4 Q. You should do it to everything?
2 5 A. Everything, that's true.
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1 Q All m a t e r i a 1 s ? 2 A . A1 1 ma t rI i a 1 s .
3 Q Not j u s 1 t l> X i r meterin'1 s ? 4 A . W c 3 it , t Ii a t a rc foreign to the body
5 itself. That's probably in the indiisiiial
6 h y g i f ii .i s t ' s prayer.
7 Q . Do you have knowledge o f f. h e 8 C h v .i I c.) n mental caution suggested b y t h
9 paragraph of that exhibit ever being
1 0 rnmiii unicated to either Texas Eastern or
1 1 Transwestern personnel?
] 2 A. It's been published in the
1 3 published literature.
3 4 Q . H It c ii ?
.
3 5 A. I don't know. Probably numerous
1 6 times. But it has been published and there
3 7 hav;. !>?(. u publications, a number of
1 8 publications covering contamination of
3 9 nun- soluble material such as the PCBs and
2 0 fluids of that type on the ground and in
2 1 waterways and in the marine environment and
2 2 so forth.
2 3 W h e n was the firs t t i m e that such
2 4 o n w a s p u b 1 i shed?
2 5 W e d i d some work that was never
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1
b1 i s hed --
or someone d i d some work I
2 w that was never publis h e d , and the wo r k
3 s with f i s h, and becaus e t h e bo t t o m s w e r e
4 not -- natural bottoms, there was nothin g
5 happened, the stuff is too heavy and too
6 non-soluble to do anything at all.
Furth e r
7 down the line there were some elegant
8 studies done about fluids, chlorinated
9 fluids that were non-soluble in water or
1 0 essentially non-soluble in water, which
1 1 means they could be partially soluble, bu t
] 2 there is so little that you can't prove i t ,
1 3 what their effect had on aquatic marine
1 4 environments.
.
] 8 Q. And were those studies published
1 6 A. Yes and no. They were published
1 7 in -- many of them were published in the
1 8 literature, in the fish and wildlife
1 9 literature, biological literature. Some o f
2 0 them were published by agencies. They're
2 1 considered published, but the government
2 2 laboratories, biological laboratories who
2 3 do their pollution technical work publish a
2 4 lot of stuff in their own publications.
2 8 Q. When you're referring to fish an d
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1 wildlife publications, what are you
2 f f' f f ' : ' l i tj
3 A . Fish or biology technical
4 publications.
b Q . And when is the first time that
6 you recollect seeing a publication in a
7 t i s h and wildlife publication relating to
8 PCB toxicity?
9 A. To my knowledge, the first one I
1 0 ever saw was a California report written
11
b a < >
;
11 ' s sometime.
1 2 Q . Do you recollect the n a m e o f I h e
1 3 j on i na 1 n i publication?
1 4 A . No.
1 3 >. Do you remember the name of the
1 6 author or authors?
1 7 A . No, i don't.
1 8 Q. Do you remember anything ai all
1 9 about the publication to which you've
2 0 referred?
2 1 A. If T had my literature files I
2 2 could, but I don't.
2 3 Q . And whore are thoseliterature
2 4 files today if they exist?
2 3 A. Very likely in Monsanto's
just>
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1 incinerator. But I don't know where they
2 r) r I
3 n. ''<u had testified a little bit
4 earlier today that Monsanto used Industrial
h Rjotest for toxicity work, is that correct?
6 A . That's correct.
7 Q . Through what period of time did
8 you use Industrial Biotest?
9
MR. PREUSS:
Did Monsanto use?
10
MR. TALLON:
Yes.
] ] A. I don't know, because I didn't do
1 2 it, the toxicology people did it.
1 3 Q. Who are the toxicology people to
1 4 whom you are referring?
] 8 A. In . Hunt, who is now deceased.
1 6 Elmer Wheeler, who headed it, who is now
1 7 deceased. You're going to have a fun time
1 8 finding these people.
I don't know that we
1 9 had any -
I knew some of the people that
2 0 were in the biotest group, but weren't with
2 1 Monsanlo. Those are the people that dealt
2 2 with Biotest for Monsanto.
2 3 Q. I take it from your answer that it
2 4 was not part of your responsibility to deal
2b
with R :i < i i i - : i l ?
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1 A. I used the data.
2 ( T i a it s w .. .. f < i r, Deposition Exhibit Number
3 116 mark'd for idontiti'-.jMon).
4
MR. 'r A I, i, ON:
Would you take a few
5 moments, please, and review i h a f , Mr.
C Car'''!':
7 A . All right.
8 Q. Have you reviewed that document?
9 A . Yes.
10
Q. Can you identify it for
the
1 1 record? ] 2 A. i i .i ' f ! ! i' j' Lo Elmer Wheeler
1 3 a b o u t P C B and E s c a m b i a B a Y n d the i n tn res t 1 4 t It e r i o i i i! c i nil 1 It o i i t i e s h a v e a b out i t . 1 5 Q . Did y o u auth o r t h a I (? .; 11 in < `ii t ? ] 6 A . T It .i s one, ye s .
1 7 Q. And that is a document that you
1 8 auilii.ii''! .n (he regular course of your work
1 9 at Monsanto?
2 0 A. Yes.
2 1 o. And you intended Mr. Wheeler to
2 2 rely on the information reflected in the
2 3 m e m o : a ml u m ?
.
24
2 8 And the memorandum is written
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1 about a meeting or series of meetings in
2 August 1969?
3 A . Yes.
4 Q. And you wrote it on or about 5 August 26, 1969? 6 A. That's correct. 7 Q. There is a big blank space on I. he
8 1 i i s l page of the document, do you see
9 that?
] 0 A . Yes.
1 1 Q. Is there a reason why that's
1 2 there, or --
] 3 A . 1 don ' L know. I have no i d e
1 4 don' t think t h e y blanked a n y t h i n g out
1 8 Q . Do y o u remember 1 e a v i n g a b i 1 6 whit e space in y our memo? 1 7 A. We could have had something pasted
1 8 in there on the original memo.
It could
1 9 have been something pasted, but I don't
2 0 know. I would be more inclined to think
2 1 that there was something pasted on there.
2 2 Q . Mr. Preuss, are you aware of
2 3 whether or not t'h at white space constitutes
2 4 a redaction of some sort?
28
MR. PREUSS:
I have no idea.
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1
MR . TALL0N :
The mem o r a n d u m
2 W h e e 1 e r ref e r s to a number o f differ
3 p e o pie.
In particular, there is a
4 ref erence in the second to last paragraph
5 o n the first page to John Spano. Do you see
6 t h a t reference?
7 A . Yes.
8 Q. And was he in the public relations
9 d e p artment of Monsanto in 1969?
] 0 A . Yes.
1 1 Q. Do you know what his position was?
1 2 A. He was assigned to the medical
] 3 ri t p . i * ! if ' L and others that I'm not -- I
1 4 can 't remember.
But he was the P.R. man
] 8 t h i w t- used If we needed one. And he also
1 6 wen t through P.R. books and stuff that he
1 7 got that concerned us.
1 8 Q. Do you know whether Mr.Spano was
1 9 the author of Exhibit 111 which we looked
2 0 a t earlier today?
2 1 A. No,I don't.
2 2 Q The s a m e paragraph that refers t o
2 3 M r . Span o goes o n to refer to Tom Ford.
Do
2 4 you r e c o 1 1 e c t who Tom Ford was and what his
2 8 P c> s i tion was in August 1969?
|G 0 R E REPORTING COMPANY
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STLCOPCB4026507
1 A . No, I do not. I don't remember
2 h i m <) 1 .ill.
3 Q. And do you remember who Sterling
4 Turner was?
5 A . No .
6 Q . What about Bill Richards?
7 A. I know Bill Richards.
8 Q . What was Mr. Richards' position?
9 A. He was in the technical support
] 0 group for this group of compounds for the
1 1 organic division.
1 2 Q. And what does the position of
1 3 being in a technical support group imply in
1 4 t o 7 in s . < r job function?
1 5 A. He did the research and (he
1 6 customer initiated materials for use. If
1 7 you had asked the company will this
1 8 material work in thus and so application.
1 9 Bill Richards' group would have tried it to '
2 0 see. Okay?
2 1 Q . Do you recollect the circumstances
2 2 under which you wrote this memorandum?
2 3 A. No. I don't, really, recollect it
2 4 very well.
I remember vaguely the incident
2 5 in the bay, in Escambia Bay.
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ST.
LOUIS, MISSOURI i q a.
STLCOPCB4026508
1 Q. What do you remember vaguely?
2 A. Well, that it was there, there was
3 an argument about shrimp catch in Escambia
4 Bay.
And, actually, I think you'll find if
5 you find enough data from the State of
6 Florida that at the time there was a
7 reduction in shrimp catch all along the
8 Gulf coast from a freeze that had occurred
9 sometime before.
1 0 Q. Turn to page 2. In the top
1 1 paragraph there is a reference to -- I'll
3 2 read you the sentence. It says "We called
1 3 Mr. Dean and Mr. O'Leary severaltimes to
1 4 11 1 e o n what general a p p r o a c h Dean and
1 5 r n e r s h o u 1 d make to t h e state agencies . "
]. 6 y o u s e e t h a t ? 1 7 A. Yes.
1 8 Q And who is Mr . Dean? 1 9 A . I ha v e n ' t the vaguest . I'm sure
2 U worked with h i m , but I don't know who he
21 is .
2 2 Q . How a b o u t Mr. 0'Leary?
2 3 A ,. Nor M r . 0 ' L e a ry
2 4 Q . Are the Dean and Turner referred 2 5 to people other than Mr. Dean and Mr
GORE REPORTING COMPANY
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1 O'Leary or the same people?
2
MR. PREUSS:
They have Mr. in
3 front of their names.
4
A . Excuse me.
It is probable that
5 Dean and Turner were at the Pensacola
6 plant.
7
MR. TALLON:
Your memo states,
8
"The
general approach should be our
9 continuous cooperation with these agencies
1 0 and to answer their questions but not offer
1 1 a great deal of information or comment."
1 2 Correct?
] 3 A . Yes.
1 4 Q . Do you remember giving that
1 5 direction to the Monsanto employees who
] 6 were to meet with state representatives in
1 7 Florida?
3a
A.
We would have --
we would have
1 9 had no -- nothing against giving them any
2 0 information, had they wanted it or needed
2 1 it or had any way of using it. And our
2 2 greatest determination was what did they
2 3 want to use it for.
We would test the
2 4 s h t m p for them if they wanted us to, or we
2 5 would have tested the fish. We did it for
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1 many other states.
So it seems cruel, but.
2 we didn't -- this stuff is extremely
3 technically screwed up, it requires a very
4 q r t . i ! ,t mount of work and equipment to
5 produce mists, and particularly mists of
6 fixed concentrations, measureable fixed
7 concentration, and that sort of stuff, or
8 to produce it in water. Because you're now
9 talking parts per trillion. And if they
] 0 wanted to test it, we would help them test
1 1 it, that's what I'm saying. But to do
1 2 that, it's very difficult to do, you have
1 3 to go through three reductions in volume
1 4 and very, very, very carefully to g e.t down
1 5 to those kind of --
] 6 Q. You described the general approach
1 7 to the state agents as including not
1 8 offering a great deal of information or
1 9 comment, correct?
2 0 A. He had their report on shrimp, and
2 1 their discussion about the shrimp problem
2 2 elsewhere along the Florida Gulf coast. I
2 3 don't know that we needed anything else
2 4 from them, really.
2 8 Q. I'm referring now to the paragraph
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1 n u mbered 1 on page 2 which describes your
2 P o s iti o n .
Correct?
3 A . We could cooperate with these
4 cl IJ /' m r i ! ;; and do anything they wanted us to
5 do 6
Q . Pul not offer a great deal
of
7 i n formation or comment, correct?
8 A. Unless we wanted them to
9 u n derstand something.
Do they have people
1 0 t h at can do these things? What good would
1 i i t do to discuss the composition and the
1 2 m e thod of manufacture and all that sort of
13
s t uff, of PCBs, with
somebody who doesn't
] 4 w a nt togo any furtherthan that? I don't '
1 5 t h ink we would have limited our discussion
1 6 w i th them, let's put itthat way,
no.
1 7 Q . Well --
1 8 A . Whatever it says here.
1 9 Q. Paragraph 1 says, among other
2. 0 t h incjs, "The general approach should be our
2 1 c o ntinuous cooperation with these agencies
2 7 a n d in answer their questions but not offer
2 3 a great deal of information or comment," -
24 u ! -
2 5 A. Yes.
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1 Q. So it was part of your program
2 with the state officials not to offer a
3 great deal of information or comment,
4 t ight?
b A . That's correct. That covers this 6 product, by the way, this group of
7 p I mlllCtS .
8 Q. Why don't we mark as 117 a single
9 page document bearing production number
1 0 Tran 022090.
] 1 (Transwestern Deposition Exhibit Number
1 2 117 mark'd for identification).
33
MR. TALLON:
Can you identify that
1 4 document?
1 3 A . No .
3 6 Q Do you have any recollection of
1 7 seeing th at document befo re today?
1 8 A . No .
3 9 Q Do you know E.S. Tucker? 2 0 A . Yes.
2. 3 Q And who was Mr. Tucker in the 2 2 Monsanto world in Decembe r 1969?
2 3 A . Tucker was a man in a particular
2 4 group at Monsanto that so Id products to --
2 5 that was one of the sales staff that sold
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1 some of the PCB products.
2 Q. If you turn to the upper
3 right-hand corner of the document, there
4 arc- a series of names there. Starting from
5 the bottom, E.P. Wheeler.
6 A . Yes.
7 Q . That was Mr. Wheeler for whom you
8 worked, correct?
9 A . Yes.
] 0 o . And does the designation "GO"
1 1 refer to general office?
1 3 A. That is correct.
1 3 Q. And W.R. Richard is the Rill
] 4 Kirhnrd to whom you referred previously in
1 5 testimony today?
] 6 A . v r. .
1 7 Q. And Mr. Keller you referred to
1 8 earlier in testimony today?
19
A. Yes.
S. 2nd is South Second
2 0 Street laboratories .
2 1 Q. And who was Mr. Farrar in the
2 2 Monsanto world in December 1969?
2 3 A. I don't know.
2 4 Q. The memorandum is addressed to
2 5 J.T. Garrett and C. Paton, correct?
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STLCOPCB4026514
1 A . Yes .
2 Q. Is thatCumming Paton?
3 A. That's Cumming Paton.
4 Q. What was Mr. Paton' s position with
5 Monsanto in December 1969, as best you
6 recall?
7 A. He was, likewise, in that -- in
8 the aroclor peddling group, as I recall.
9 He's i.mi' of thetechnical people in the
1 0 aroclor sales management group. Okay?
JI
n . Thememorandum states
that its
1 2 subject is " A r o c 1 o r -wildlife, NCR water
1 '! , 'hut?
1 4 A. Yes.
] F> n. on you know whether or not the
1 6 .letters NCR stand for National Cash
] 7 R g : ' 1' i ? j rj " r' , it is for National Cash
1 9 Register.
2. 0 Q. And did you do or did you
2 1 participate in toxicity analyses of
22
a r o 1 f < i s Tot -
with reference t o your
2 3 customer. NCR?
2 4 A . Yes, 1 knew we were do i n g i t .
2 5 Q And is it t h e case t It a t N C R used
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1 aroclor 1242 in carbonless carbon p n p f r '{
2 A . Yes.
3 n . And is it the case that this
4 memorandum indicates that extract of wafer
e> samples reflected parts per million of
6 aroclor 1242 found in those samples?
7 A . Yes.
8
Q . Do yourecall participating
in
9 discussions at Monsanto about the
] 0 bio degradability of aroclor 1242?
1 1 A . Yes, I do.
1 2 Q . And what do you recall of those
1 3 discussions?
1 4 A . Thai wo had never seen much,
1 5 degradation.
We had seen some- isomeric
1 6 r 11 a n rj ( :. .
1 '' . What do you mean in that response
1 8 when you use the word degradation?
1 9 A. Where the material, the chemical
2 0 compound lost its chemical identity as
2 l s 11 r ! i . v (i i, s,iy .it was 2,3 dichloro so and
2 2 so, it lost that identity.
2 3 > . When you stated that you did not
2 4 see much
degradationof a roe lor 12 42, does
2 8 that indiiMle Hut 1242 tended to persist
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1 in its form as an aroclor in the
2 c n v i t uimiont? 3 A. That the material -- that the
4 material analyzed for
was the
b r h I urobiphenyl , that's the analysis, and it
6 was -- what.he said was the degradation of
7 these -- these samples represented that
8 chemical
species, aroclor 1242, period.
9 Now, he said he didn't know about any other
1 0 degradation or anything else, didn't show
1 1 any evidence of biodegradation.
12
Q.
And now I'm referring to --
I had
] 3 asked you whether youwere a participant in
1 4 any discussions at Monsanto about the.
'
1 3 degradability of aroclor 1242 and you
1 6 indicated that you had.
In those
] 7 discussions, apart from the reference in
1 8 the exhibit that you're looking at, what do
1 9 you recall being said about the tendency of
2 0 1242 to persist in the environment?
21
A. Well,
it's not verydegradable.
2 2 Q. Does that mean it tends to
23 pei s i s l ?
'
24
A.
It tends to persist, yes.
It
2 5 will, however, degrade.
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Q. I'm sorry.
It will?
2 A. It will, however, degrade. And we
3 f o und this out through studies in
4 C U imection with this same NCR effluent
5 Proc edure . 6 Q I'm s on-y, I didn't hear the end 7 0 f your answer . You found this out in
a C (I li h < i I *i i'ii w 5 t h s t u d i e s --
9 A . With NCR s t, u dies.
1 o Q F o r w hat pur pose were those NCR
i l s tudies undertaken ?
2 2 A . Our o w n push n g NCR. W e were
1 3 1 n teres ted in what w a going -- what was
1 4 9 i n g t o happe n to t h NCR us e . And, of 1 5 c o u r s e , it was d i s c o n i n u e d .
1 a Q Why w ere you i n t e r e s ted in what 1 7 w a s g o i n g to h a p p e n w t h the NCR use?
1 8 A. Well, we did ' t want NCR to screw
1 9 u p the thing with bad data.
And we knew
2 0 t h e y didn't know how to do the analysis,
2 1 f o r example. It's a complex electronic
2 7 m i croscope analysis .
2 3 Q. What were yo u concerned the
2 4 c o nsequences of NCR s crewing it up might
25 be9
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1 A . NCR was worried that they w err-
2 going to lose the product because of that,
3 and so were we, but we wanted to make sure 4 when the data ca me in that i t was as 5 a c c u r ate as we could make it. An d we C b 1 y could analyz e the stuff better
7
a n y b ody else in the c o u n t r y .
So
B Midi's where it came from.
9 Q. But I think my question was what
] 0 w a Mi.
. ; n , why were you concerned
1 1 that NCR would do the work itself and
r n vi
3?
it up?
Why was that an issue?
1 3 A. Well, the issue was if you had as
1 4 hie
1 '
' ' ' y had going on that paper
1 5 and it was such a commercial suer ess, how
] 6 f a t do y u u t h ink you w o u 1 d g 1 7 it? We sold the P C B t o t h e m
] 8 Monsanto was not i n the b u s i
1 9 to get rid of its products, but we were in
2 0 the business of trying to make sure those
2 1 products were handled properly and not
2 7 discharged willie-nillie into
2 3 anything --
2 4 Q . D i d there come a time w h e n you m e t
2 5 with repres e n tatives of NCR to d i s c u s s t h e
GORE REPORTING COMPANY
ST.
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LOUIS, MISSOURI
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STLCOPCB4026519
1 toxicity of aroclor 1242 with those
2 representatives?
3 A . They k n e w t h e t o x icity of the
4 products from v i sits to St . Louis.
5 Q Do y o u recal 1 in particular a 6 meeting in 19 7 0 with r e p r e sentatives of NCR
7 to St. Louis?
8 A . There were severa 1 . It's
9 possible.
1 0 j. Let me show you -
1 1 A. I remember we had meetings wi t h
] 2 N C K , 1 o i ' p u ! i I that way
1 3 Q. Let me have markc d as Exhibit; 118
] 4 n oi.o p .i .-j i document b e a r i n g production
1 5 number Tran 085272.
1 f ( T j d us we stern Deposition Exhibit Number
1 7 118 mark'd for identifi cation) .
]8
MR. TALLON :
Does reviewing the
1 9 document marked a s Exhibit 118 refresh your
2 0 recollection as t o a meeti ng held with
2 1 representatives o f N a t i o n a 1 Cash Register
2 2 in St. Louis in J u n e 1970?
2 3 A . Yes.
2 4 Q. Tell us what you remember about
2 5 that meeting in terms of i ts purpose?
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1 A . w e were p u s h i n g Cash t o move 2 to a n o t h e r -- t o a n o t h e r dye d i 1 u e n t
3 Q . T o another what?
4
A . Dye diluent.
The material that --
5 the aroclor was used as a diluent in the
6 dye capsule, in the encapsulated dye that
7 made the carbonless carbon paper by
8 exploding th e capsule with a key of the old
9 typewri ter .
It wouldn't work today because
] 0 nobody types it in with a key . But the
1 1 problem was the thing was -- they were --
1 2 we suggested they look for substitute
1 3 mate rial.
And this was a discus s i o n o f
1 4 M I P B . Mon oisopropyl b u t a n e , M I P B . W e. did
1 5 not make that.
We were. 1 ike t h e f o o 1 s
1 6 that we w ere, talki n g t h e m into g e t t i n g out
1 7 of our business.
] 8 o . W h a 1, was the p u r p o s e f o r y o u r
1 9 attendanc e a t the m e e ting w i t h t h o N C R
2 0 Tepresentatives?
21
A.
I had been --
I had done some
2 2 work with NCR's people over at Hill Top
2 3 Laboratories in Cincinnati where they were
2 4 doingsometoxicologywork.
2 8 Q. What work was that?
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1 A. I don't recall the specifics. 2 There was a lot of work being done on it by
3 everybody, including us, in their issue.
4 Now, you can imagine their enthusiasm
5 wasn't too high for this, so you can
6 understand some of the reasons for these
7 meetings.
8 Q. Do you recall what information was
9 furnished to National Cash Register
] 0 r presentatives at this meeting
1 1 concerning --
] 2 A. Every bloody thing we had that
1 3 they didn't already have, which I can't
1 4 imagine there was very much. It could have
1 5 been some of this by electron scope
1 6 studies .
]7
MR. PREUSS:
He asked if you
1 8 remembered.
19
MR. TALLON:
And by electron scope
2 0 studies, you're referring to the exhibit
2 1 wh.icli discusses the biodegradability of
2 2 aroclor 1242?
2 3 A. That's right. In these low, low,
2 4 low concentrations.
25
MR. P R R ll S S :
Number 117.
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1
MR. TALLON:
Without reference to
2 the specific nature of the work being done
3 b y the NCR representatives at the Hill Top
4 1 o c ation, what was the nature of your
5 com munication or interaction with those NCR
6 rep resentatives?
7
MR. PREUSS:
At this meeting or
8 any time?
9
MR. TALLON:
I'm referring to the
1 0 wit ness's earlier statement about his
1 1 i n t eraction with NCR.
1 2 A. I went, at Dr. Kelly or Mr.
1 3 Whe eler and I can't remember whose request,
1 4 I w ent with the NCR people over to Hill Top
1 5 Lab oratories. Which, by the way, is a
1 6 p r i vate consulting toxicology laboratory in
1 7 C i n cinnati. Whether it is still there or
1 8 s t i 11 by the same name, I do not know. I
1 9 h a v en't heard about it in years.
It is
2 0 p o s sible it's somebody else's name, that it
2 ] w a bought by one of these chain outfits.
2 2 But I don't know.
They
were there then.
I
2 3 wen t to Hill Top with this NCR man, and we
2 4 wen t over some data that Hill Top was
2 3 w j t. h fish and other things . And they
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1 essentially proved what we proved, and that
2 was that the stuff was virtually 3 non-degradable under normal circums t a n c e s . 4 Q. Do you recollect the reaso n why
5 Dr. Kelly was to be present at the National
6 Cash Register meeting in June of 19 7 0?
7 A. Their doctor probably was there .
8 Q. And do you remember any
9 contribution that Dr. Kelly made to the
] 0 meeting?
] 1 A. Probably, yes. He told them to
1 2 get their butt out of the business.
] 3 Q. Do you remember any contribution
1 4 that you made to the meeting?
i a A. Not with him there.
1 6 Q. Do you remember any contribution
1 7 you made to the meeting, whether or not he
1 8 was there?
1 9 A. The contributions were the
2 0 sampling that we had done for Tucker when
2 1 he was doing these tests, and we did some
2 2 sampling, and then we did some later, and
2 3 those -- the sampling showed that there
2 4 was between --
okay, now I remember.
2 3 We're talking about the Little Miami River,
GORE REPORTING COMPANY
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STLCOPCB4026524
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1 they're discharging into that. National 2 Cash, then it meanders down and injures the
3 Ohio at Miamisport, and we had done some 4 s ci i p 1 i n g along there.
5
Q. Were
the results of that sampling
6 7 e ( I (' r l (. d in Exhibit 117?
7 A. Part of it was hern, yes.
8 Q. Do you recollect the results other
9 than as shown on Exhibit 117?
30
A.
No, not really.
It would be
1 1 trying to guess at some things that you mix
] 2 upin your mind,
and I don't think I can do
1 3 that very well.
] 4 Q. Didyoueverhavedirect
1 5 communicationswith Soren
Jensen in Sweden
1 6 oi nnyone working with him?
1 7 A . No .
3 8 Q. Do you know if Dr. Kelly did?
1 9 A. We conversed with him by letter at
2 0 the institute where he worked. And we did
2 1 it through the years, actually. I don't
2 2 know why the letters aren't in the files or
2 3 anything.
I don't know.
I did not do it,
2 4 F. l m f' r did it.
He met him in a meeting in
2 5 London later, or during this period of time
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1 that this rukus was going on. And we asked
2 him seme questions, and his answers were
3 not translatable to American law and 4 regu.la.ti.on. 9 Q . Could you read that back?
6 (The requested portion of the
7 jt.'c. ord read by the reporter).
8
MR. TALLON:
What does that mean,
9 Mr . Garrett?
10
A.
Well, in some --
some countries
1 1 make you prove that things are bad. The
1 ? (in:i ted States does not, and never has.
1 3 Q . Howdidthatrelatetothe
] 4 discussions between representives of.
1 5 Monsanto and Mr. Jensen?
1 6 A. The fact that Sweden, for example,
1 7 was going to go ahead and use PCBs in their
1 8 electrical transmission and we were not,
1 9 because regulations were going to cause us
2 0 to stop it.
2 1 Q. Regulations were going to --
2 2 A. To make us stop using
2 3 polychlorinated biphenyls in electrical
2 4 transmission or any electrical transmission
2 9 devices.
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Q . I g u ess I'm just not clear. How
2 did that disc ussion of the difference
3 bet ween the S wedish regulatory system and
4 U . S . regulato ry system figure in your
5 d i s cussions?
6 A . I n S w e den they were not going to
7 t a k e it out o f their transmission systems,
8 Q Why d i d you care? 9 A . Well r it seemed strange to us if 1 0 t li e y didn't b e 1 ieve that it was a hazard in
1 1 the ir electri c a 1 systems, why should we be
] 2 for ced to tak e it out of ours,
1 3 Q . Why w a s that a subject of
1 4 d i ;; (wssion wi t h Mr. Jensen?
15
. A.
B e c a u s e he's the one who talked
1 6 a 1 1 of the t h i n gs into it. He was the one
1 7 t h a t started t h e PCB yahoo all by himself,
] 8 Q By y a h oo, you're referring to --
1 9 A . His i s sue connected with finding
2 0 i t , which is n o t unusual in fish and so 2 1 for t h in the f i sheries along the Swedish
2 7 par t of the B a 1 tic Sea. And his is very,
2 3 v e r y excellen t work, incidentally, don't
2 4 I'm not c r i ticizing him at all, he's a
2 5 h e 1 1 of a goo d researcher in wildlife
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ST.
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1 man agement, and that's what he was doing.
2 But what he did not understand was our
3 h e s itance or -- you know, we don't use
4 dir igibles in this country because they're
5 gas , that sort of thing.
We do, but you
6 s h o uldn't do it because it's going to kill
7 p e o pie. It makes no sense to me. In other
8 W ! (Is, if it was hazardous, why the hell
9 w e r e they going to go ahead and use it.
1 0 Why was the technical
man employed by the
1 1 v e r y government that was going to go ahead
] 3 a nd use it, and we were going to get rid of
1 3 i t and stop using it.
It didn't make any
]4
. " 1 .
1 ' -- and finally
1 5 dec ided that it didn't make any sense, so 1 6 w c (eiii .In ' l 8n ri nylhing about it.
1 7 Q. So he couldn't do anything about
18 i t V
] 9 A. Nor could we.
2 0 Q. Did you play any role, Mr.
2 1 (7 a r * ! L, in the decision to withdraw any
2 2 Mon s anto product containing PCBs from the
2 3 m a r k cl for sale to customers?
2 4 A . We withdrew it, s o I would b e
2 3 p cl I
J\./ jo sponsible, I wo u 1 d assume .
How
|G 0 R E REPORTING COMPANY
ST. LOUIS, MISSOURI
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1 indirectly, I don't know.Elmer would
have
2 to la-, partly, Kelly would, I would.
3
Q.
Were you part of
any working group
4 who: 1 'lii subject of withdrawing PCB-based
5 products
from the market was a subject of
6 d i s 1 . i (i 11 ?
7 A. We collectively were opposed to
8 this use.
9 Q . I'm sorry?
1 0 A. We were collectively opposed to
1 1 t hi s u e. 1 ' ' Q . This use referring to what?
13
A. Making carbon paper.
I don't
1 4 b e I i i v i ov. were really opposed to any other
1 5 use, that I know of, that any of the
] 6 aro-'!oiwasputto.
1 7 Q. What was the reason for the
] 8 o p p o i ! i u n to the use of P C B s in the
1 9 manufacture of carbonless carbon paper?
2 0 A. The paper went in to all kinds of
2 1 dumps, it was soaked with water, material
2 7 war; carried out, flushed out, it wasn't
2 3 dissolved because it wasn't soluble, into
2 4 receiving streams. After ten years of this
2 5 you could find it all over the world, after
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1 we developed the method for analysis in
2 very in i ii u L e amounts.
That's with the
3 scope, with the electron scope. 4 Q . I take it, then, that the concern
that you've just described was that the f c B 5
6 component of the carbonless carbon paper
7 could enter the environment as a result of
a lh( disposal of carbonless carbon paper?
9
A.
You can't --
how do you dispose
1 0 of paper tja/bage? Burn it? Either way, we
1 1 release the PCB into the environment.
1 3 Either way. And it was getting so big, I
1 3 mean, everybody was using those things, 1 4 including the cop that gave you a ticket.
1 5 The point I make is that there were very
] 6 many fine uses of it that did not impinge
1 7 on the environment. This one was no 1 one
1 a o f l h o u 1 u s c S .
1 9 Q. If a PCB based fluid product leaks
2 0 out of a system, does that enter the
2 1 e ti v i r' n ii hi e ii t ?
22
MR. PREUSS:
I'll object as an
2 3 incomplete hypothetical, insufficient facts
2 4 upon which to form an opinion.
25
A. That would be philosophizing.
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! m n ' 1 think it would do that.
M p . TALLON:
If a PCB fluid is
3 poured on the ground, is that in the 4 e 7i v i i i > n m e n t ?
b
MR. PREUSS:
I object as
6 argumentative.
7
A.
.1 don't know.
Depends on where
8 the ground is, what you're talking about,
9 what l 11 v concentration is, what the PCB is,
1 0 what the other materials transported with
] 1 it nil. There is so many variablesin that
1 2 question I don't know how to -- we have
1 3 proven what we knew about this. 1 4 Q . Proven what you knew about 1242?
] 5 A. No, about using this paper. There
1 6 was nothing wrong with the paper itself.
] 7 There was never a single solitary claim of
1 8 anybody being hurt with it or with its
1 9 results.
But we knew -- and heavy
2 0 chlorinated chemicals have a tendency --
2 1 they're fat soluble and they have a
2 2 tendency to concentrate in fat. Fatty
2 3 animals would concentrate it if they got it
2 4 in their food chain, anyway. We found that
2 S on! ir.o studying these things. So in this
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1 use , or in most of the uses that w e checked 2 t h iuuijIi wo did not find that ha z a r d
3 a s sociated with it. 4 Q . Did you participate in any 5 a n alysis undertaken by M o n s a n I < > o ft 6 d i t ! < ; i i: ' ways in which PCBs co uld enter
7 t h e food chain?
8 A . 1' O 1 h c- d ogre e that t h y were done.
9 b u t not all o f them.
There c o Id have !.;(' n
1 0 III cl li a i . f t hem a one I k new no t h i g about,
1 1 Q. Did you participate in a n y such
1 2 fi I 11 ti v
f ` -i yes.
1 4 Q And was it a part of that s i u d y to 1 b Cl v l i.- ( in ' n c liiiw " i: s entered the food chain
1 6 that included fish?
] 7 A . Well, T'm going to tell you
1 8 something that's strange.
r n checking i'c B
1 9 in d n i, ' .
n cj , Mild these are ----
this is
2 0 when we had these people up against t h e
2 1 wail, us and the Dutch, the Germans and the
2 2 French, there was more PCB in the
2 3 e ti v i i 11 11 (I. e 11 l than any of us manufactured,
2 4 total. Particularly true at times in sea
2 h cre-ninit:,.
Now, we don't know how that
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ST. LOUIS, MISSOURI 22 01
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1 happened, we haven't the foggiest notion
2 how u oh! <' ' i Mti t (' d compound, any kind, got
3 into those critter, but it did. Now -
4
MR. r REUSS :
Try to answer his
5 question, Mr. -- 6 A . t ti (i t w pollof the reason,
the
7 unknown, that we faced withit.
8
MR. T A 1. 1,0 N :
PCBs are not
9 naturally occurring, correct?
] 0 A. No. We do not know if they are,
.1 1 and we have never seen them except maybe we
] 2 h .i v ( ; i, ,
i cco c r e a t u r e s . We may have
1 3 seen PCBs generated in theenvironment
] 4 it:;.. M .
] S Q . hr! I circumstances are you
1 6 describing?
]7
A. When youproduce 40
million
1 8 gallons of stuff and the French produce 40
1 9 million y a 1 I o11 r and the Germans produce 40
2 0 million gallons andall of
r it shows up and
2 ] more O f r ! h e r o d r lof -- Gulf coast
of
2 2 Florida in fish, you know some thing is
2 3 wjory. Now, it was our opinion that
2 4 somehow there was a possibility, however,
2 b wc never could prove it, nor could we ever
GORE REPORTING COMPANY
ST.
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1 reconstruct it, that the material could, in ?. fact, generate; either that or a material 3 that gave the same reflections in very 4 high-powered analytical equipment. Okay? 5 Now, you don't know any more than you did 6 b f l 11 i t- and neither do we. Does it show in
7 the electron scope? And if so, what is it
8 s 11 i' w 5 11 rj in the electron scope? And you're
9 talking parts per trillion, and there is no
3 0 way y u ii ; n n get a piece of it and break it
1 1 up and look at it, it's too small.
You're
1 3 l tying It. : mi 1 yze a teeny, teeny, tiny
1 3 piece, and you can't do it. We tried.
We
] 4 m a s h < d up ft, . j Ii hri mp and enough other
1 5 creatures, you just couldn't do it.
16
Q
Did
hy s t udy u nd ertak en a
1 7 M o n s a n t o w h i 1 e y o u we rc c m p l o y d d b y
1 8 Moms.i i i 1
t. l o d e t e r m i n e t h e d i f f
1 9 ways. i f the r e w a s more t h a n o n e w a
2 0 PCBs null il tnier the food chain?
2 1 A. Yes.
2 2 Q . W a m l h e re one such study or mo r e
2 3 than one such study? . 2 4 A . T it o i i vJ 1 1 i MO v e r a 1 . W e found some 2 5 other strange things i n thos e s t u d i e s i n
GORF K RPORTING COMPANY
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1 the Great Lakes. 2 MR. w K f: 11 H S :
He just asked you if
3 there was more than one.
4 A . Y ( : ' I h < ; ( was.
5
MR. TAJ.LON :
W h ! were ! ho
6 r n n r 1 11 :. < .
r i luair studies, a s you recall
7 them, in describing how P C B s entered l tie 8 f o <) d r It ci i 11 V
Avoid a discussion of them.
There
1 0 was no other way. For example, we found
] 1 1 < > e much -- we found it coming out of
1 2 effluents where large -- we're talking
] 3 about huge dry cleaning establishments
1 4 were. There is no aromatic compounds used ] 5 in dry cleaning that anybody knows of, that
1 6 we checked.
17
Q.
At o hi <) l i C ?
1 8 A. Yes.
1 9 Q. Are you referring to PCB
2 0 compounds?
2 1 A. I'm talking about aromatic
2 2 chlorinated compounds, and PCP is a.
2 3 r h l in 'i n,i i .-d - -
is a biphenyl
2 4 chlorination. Biphenyl is two benzene
2 S rings s l u ck end to end, it is an aromatic.
(GORE REPORTING COMPANY
ST. LOUIS, MISSOURI O O -3 I
STLCOPCB4026535
1 Now, again, we're talking < - x t; < . < . d i n ij l y low
2 1 rv, ! : :
' p . .. !.,. '
pick up with
3 extremely d e 1 i c a ! >
* : , 1 > ' > o n
4 n. `
, ' 1 '1 i i u reflection in
5 there that .i n t e r f e r e s ? If s o , we didn't
6 k II r. ur ! I
p 1 pen ever participate in any
8 decision by Monsanto to withdraw pen based
3 fluid pnuliir! s from the market? 1 0 A . Yes .
] 1 Q. And what was your role in that
1 2 decision-makingprocess?
] 3 A. We refused to sell it tosome tile
1 4 makers and to a preformed insulation
] f> rii a n u f a ' I u r e r .
1 6 Q . Wh en?
1 7 A. Ithadtobeinthe'70's
1 8 sometime.
] 9 Q . The early 1 7 0 ' s or late ' 7 0 ' s or
2 0 mid ' 7 0 ' s ?
2 1 A. i don't know. I just don't know.
2 2 Q. What was your role in that
2 3 process?
.
2 4 A . I We nt to check their facilities
2 5 to see if they were going to protect their
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1 e m ployees, and the facilities were
2 t v r i ; 11 ; . .
h e glass fibermanufacturer
3 t h at we checked, the preformed insulation 4 m a 11 11 f h r i i, i , r refused to do anything about
5 i t , and he was cooking them in ovens, drop
6 1 r (i n i
/ r you know what I mean, and
7 t h e workers were pulling the oven open and
8 d 7 upping i t ri n (1 that whole gang of
9 d e composition products and so fori h i-ame
1 0 T i yht riu! in the worker's face. And I told
1 1 t h em no, we would not, unless they change
] 2 i 1 , and they wouldn't change it. We
1 3 r e fused to sell it to them.
1 4 Q. Did you play any role in
1 5 c o nnection with decisions made at Monsanto
1 f. C. n ncerning the phaseout or discontinuance
1 7 O f sale of Turbinol?
1 8 A. Turbinol didn't discontinue. Its
1 9 b a se, chlorinated hydrocarbon,
2 0 d i sappeared. The aroclor backing, that
2 1 t h ing was stopped, it wasn't the Turbinol
2 2 t h ing that stopped.
It was the aroclor
2 3 t h at made it.
2 4 Q. Turbinol continued to be sold
2 5 u n der a different formulation?
jG 0 R E REPORTING COMPANY
ST. LOUIS, -MISSOURI |
STLCOPCB4026537
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1 A. No. Not to my knowledge. They
2 could have been, but I didn't know it.
3 When they took the PCB out of it they
4 j f rn <, . . 3 from it the property that was most
5 attractive to that as a turbine fluid. 6 Q. What property was that?
7 A. Fireproof or fire resistance. And
8 t III' 1 U h i icity in a fire- r e sis
9 Q 1 0 pin, I.,, i
And was t h e r e a s u b s
A . They ' re r u n n i n g t u r b
1 2 Q I mean. d i d Mon s a n t o 1 3 subsli Lute product?
1 4 A. We tried, but we didn't come up
1 h wilii i l , no. Not to our opinion.
1 6 Q. Who do you know that was involved
1 7 in lhe procedure of attempting to develop a
1 8 substitute product?
] 9 A. Well, my own knowledge, the
f`
2 0 chemical industry. You got a market,
2 1 here's an opening, all the people are going
2 2 to scramble into that opening and try to
2 3 produce a product.
I don't know who did, I
2 4 couldn't even tell you. All I know is that
2 5 somebody tried, because we tried. But the
GORE REPORTING COMPANY
ST. LOUIS, MISSOURI
STLCOPCB4026538
1 I! min ute it went out, everybody in the world 2 k n v w it in the chemical industry, that we
3 w e r e pulling out of the PCB business.
So,
4 ban g, they started looking at our product
5 1 i n e and everybody was trying to -- I
6 don ' t blame them.
I'm sorry.
This is our
7 old eat and eat and grab business world,
a M y point is, you people still have turbine
9 flu ids even when we quit makingTurbinol.
1 0 And somebody filled that void.
And they
11 w o u Id do that anyway. I don't know which
1 2 one s.
I'm sure we tried.
But that just
1 3 was one of those things.
] 4 Q. I take it, though, from your
1 5 a n s w e r that y o u d i d n ' t h a v e any direct
1 6 par tic i p a t i o n in the p r o c e s s o f attempting
1 7 t o dev e 1 o p a s u b s t i t ute f 1 u i d ?
i a A. We tested --
19
MR. PREUSS:
He's talking about
2 0 you
2)
We tested some of them
that's
2 2 all
23
MR . TALL0N :
I'm question!
ow
2 4 w h e t h e r you persona 1 1 y were involve
25
A . I knew it and helped write
e of
feORE REPORTING COMPANY
ST. LOUIS, MISSOURI j
STLCOPCB4026539
1 the stuff on the test products.
2 Q. Write what stuff on the test
3 products?
4 A .. The res u 1 t s of the t 0 xicology
5 tests .
And the res u 1 t s , mo r e importantly.
6 of the degradati o n , f ire t e s t s and so forth
7 of the product .itself, the material. They
a had
i <3. 1 substitute materials they were
9 trying to sell.
1 0 f) . Do you remember the components of
1 1 those substitute materials?
.
12
A . Absolutely not, none of them.
But
1 3 none of them contained any chlorinated
] 4 hydrocarbons.
]. b Q. Do you know the period over which
1 6 you participated in this testing process?
17
A. No.
Because we were facing the
1 8 whole PCB withdrawal business, you see.
] 9 We're looking at a heck of a lot better --
2 0 bigger markets than just Turbinol fluid
2 1 markets. And we didn't do too well in any
2 2 of them, frankly.
We do make a lot of
2 3 fluids today, basically, of component
2 4 fluids, or did, but they're not anything
2 5 like the chlorinated materials.
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1 Q Do you have a reecollection of when 2 a t t e m p t s began to fin d a substitute fluid?
3 A . Probably in the late '70's and
CD
O
4 near
s . When it was absolutely
5 e s s e n t i a .1 , it looked like we had no chance
6 of co ntinuing to produce PCBs of any kind
7 for a ny reason.
8
MR. TALLON
I'd like to take a
9 few minutes.
1 0 (Recess).
11
MR. TALLON:
Just a couple more
1 2 quo:, t "> .in , M 7 . Garrett. When you referred
1 3 earlier in your testimony to a red book
] 4 concerning document retention policies, was
1 5 the book red?
1 6 A . It h a d a red cover . The first one
1 7 had a red c o V e r , that ' s where i t got the
1 8 name red book.
I think the third one had a
1 9 green cover, actually. And it was a --
2 0 the people -- it was a desperate try to
2 1 keep from putting so many files out there
2 2 that the whole thing sank.
And what
2 3 happened --
24
MR. PREUSS:
He just asked you
2 5 what the color was.
GORE REPORTING COMPANY
ST. LOUIS, MISSOURI
STLCOPCB4026541
1 A. They said what d o you get out. how 2 ou get it out. and the red one was the
3 first issue.
4
MR . TALL0N :
Is that the k i n d
5 i n s t r u c t i o n a 1 manual that stat e s w h e n
6 certain kinds of doc uments can b e
7 destroyed?
8
A.
And when --
which ones to store
9 and which ones to dump, yes.
1 0 Q . Was there a particular section of
1 1 the red book. a s you recall it, that
1 2. r i.: ] a t e d to y o u r d e p a r t m e n t ?
1 3 A . N o . I t was general , related to
1 4 1 he use of the document and what use was
1 5 made of it initially and how many documents
1 6 there were out.
] 7 Q. You said that your birthday was
1 8 January 12th, but in what year were you
1 9 born?
2 0 A . 1 9 2 3.
2 1 Q You indicated that yo u d i 2 2 e r a c t personally with Indus t r i a
2 3 test. is that correct?
2 4 A . No, I did not.
2. 5 Q You did not interact p e r s
GORE REPORTING COMPANY
ST. LOUIS, MISSOURI
STLCOPCB4026542
1 Did you receive test results from 2 1 ti d VI filial Biotest? 3 A . We did and I saw them. And r got 4 if I wanted some done, I could get them 5 done 6 Q. Did you have tests conducted by 7 I n d u strial Biotest?
a A. In a couple of instances I
9 i n i t iated the need for it, yes. 1 0 Q . Do you remember the scope or 1 1 n a t u re of the tests that you requested ] 7. Indu strial Biotest to perform? 1 3 A. This was -- both cases was what ] 4 w a known then as chronic tests, and these 1 5 were oral chronic tests. 1 6 Q . Oral chronic tests? 1 7 A. Yes. ] 8 Q. For what toxin? 1 9 A. I don't even remember what, the 2 0 m a Lc i i a 1 s w ere . 2 ] Q. When, in your answer of a moment 2 2 ago. you said that we used Industrial 2 3 Hi ot e s t -- 2 4 A. The department. 2 5 Q. Your department?
GORE
REPORTING
'
COMPANY
ST.
. W^e . .
LOUIS, MISSOURI -b 1
STLCOPCB4026543
1 A . Yes.
2 Q . Did Mr. Wheeler use Industrial
3 Biotest?
4 A . Ye::.
5
Q.
Did Dr. Kelly have --
did Dr.
6 Kelly use Industrial Biotest?
7
A.
Because of the cost.
It was a
8 general agreement that it was needed by
9 pretty nearly all the professionals in the
1 0 department until it got too damn big.
You
] 1 know, today you'd have to hold some kind of
1 2 a meeting and have ballot boxes, because it
] 3 takes a whole floor of one of the buildings
1 4 out there now.
] 9 Q. To your knowledge, did Mr. Wheeler
1 6 rely on data test results that he got from 1 7 Industrial Biotest?
1 8 A. And others.
] 9 Q. Did you ever question the validity
2 0 or reliability of test results that you
2 1 personally got from Industrial Biotest?
2 2 A . No.
2 3 Q. Do you know if anyone working in
2 4 your department questioned the reliability
2 9 oj validity of Industrial Biotest test
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ST. LOUIS, MISSOURI
STLCOPCB4026544
1 j r e s u Its?
2 A . You'd have to discuss that with
3 the toxicology people there now. Ask them,
4 I do n't know.
b Q . Do you know that Industrial
6 Biot est was accused of falsifying test
7 r e s u Its?
8 A. Yes, I heard all about that.
9 Q. And do you know if that
] 0 f a 1 s ification related to tests upon which
1 1 Indu strial Biotest was working for
.
] 2 Mons a n t o ?
] 3 A. I don't know. I just don't know.
1 4 Q. Who would know that information,
] b do y ou believe?
16
A.
With Elmer dead and Kelly --
I
1 7 don' t think Emmett knew the particulars of
1 8 i t . He approved of doing some work on X
1 9 comp ound, and Elmer would feather it out
2 0 and put it in the labs. Now, we have done
2 1 tox
a lot o f other 1 a b o r a t o r i e s , too r
2 2 don' get m e w r o n g , we did n't o n 1 y use t h
23
then
eve n .
And so we ' v e done t o X work i
2 4 Euro P e .
28
MR. PREUSS:
He's just asking if
GORE REPORTING COMPANY
ST. LOUIS, MISSOURI
STLCOPCB4026545
1 you know who would know about it
2 That's the reason all of the stuff
3 was
one at Ind u s t r i a 1 B i o t e s t i s what
4 1 ' Hi 5 wer 6 7 Whe
g to say.
All the chronic t e s t s
done at In dustrial B i o t e s t
MR. TALLON :
Other than Mr
n d Dr. K e 1 1 y , were there o t h o r s
8 w i i ( i;
. : d know of today who would --
9 A . No. The one that might know is
1 0 d t . i (l; nr. Hunt, William Hunt.
1 1 Q. When you learned of the
1 2 f rl I s i I ication of data by Industrial
1 3 Bio test, did that cause you to call into
1 4 que stion the results of any studies done
1 5 for you by Industrial Biotest?
1 6 A . No.
1 7 Q. Why not?
1 8 A. Because the studies of interest to
1 9 m e were not done by Industrial Biotest.
2 0 Q . Where Industrial Biotest had done
2 1 w o r k for you or for your department, did
22
t h rl :
ii : you to call into question the
2 3 v a 1 idity or reliability of that data?
2 4 A. We did some testing, retesting of
2 5 s o m e of materials, not any of the PCBs,
gore: REPORTING COMPANY
ST. LOUIS, MISSOURI
STLCOPCB4026546
1 i n cidentally, and the test results came out
2 v i Ttually the same.
And assumed that
3 d u ring certain periods that testing all
4 1 h eir data was valid.
5 Q. You redid certain tests done by 6 7 n () u ! ! i a 1 B i o t e s t ?
7 A. Mr. Wheeler had it done through
a 7 n dust i i a 1 Biotest and through our then
9 t o xicology department, and the testing came
1 0 0 u l reasonably accurately, what Biotest had
1 1 P r oduced. And to the best of my knowledge, 1 2 w c did not have any fallacious data that we
1 3 u s e d f r o m I ndustrial B i o t e s t .
] 4 Q I n the r e t e sting did you use split 1 5 s a m p 1 e s o r simply re peat the tests ?
1 6 A . W e probably did some of i t with
1 7 s h orter term sampling to check some of the
1 8 1 a bs, but I know we did that.
1 9 Q. Did which?
2. n A. 90 day studies with some of the
2 1 1 a bs to check their validity. We were gun
2 2 s h y by this Lime, and we had -- we did
2 3 s o me 90 day tests to check various labs and
2 4 t li r y came out fine, we had no problems and
2 5 s a w no problems, and those that we repeated
GOR K KB PORTING COMPANY
ST. LOUIS, MISSOURI
STLCOPCB4026547
1 came back with virtually the same data. So 2 we t):. .iimcd our stuff was not mixed up in
3 any kind of activity there. 4 Q . Wh.il were the selection c r i t e r i a 5 for determining which tests would b e
6 7 f' I i - ' . . 1 A. The ones that were most i mportant
8 to us. And that was two year stud ie s , rat
9-
generally rat feeding studies,
Because
1 0 this is a so-called chronic test.
1 1 Q. Which is a so-called --
12
A. The two year study.
Even if you
1 3 do absorption studies, they'll be done in
1 4 -- for as long as you can keep th e beasts
1 5 alive from the standpoint of their own
1 6 health .
1 7 Q. To your knowledge, did th e organic
1 8 chemicals division deal directly w i t h
1 9 Industrial Biotest?
2 0 A. No. They did it through this
2 ] department.
2 2 Q The m e d ical department? 2 3 A . Yes.. S till do. Which Is now the
2 4 c li in i cal company , still does.
2 5 Q And t o clarify something that you
GORE REPORTING COMPANY
ST. LOUIS, MISSOURI
STLCOPCB4026548
I
1 said earlier today, I as ked you wh e t her you 2 w c t < doing an y consultin g projects f o r 3 Moris a n t o and I think you said " I b e 1 iovc 4 So" . Is Mohs anto compen sating you f or the 5 time spent d u ring this d eposition?
6 A . No.
7 Q . And are you currently --
8
MR . PREUSS :
I think his t e sti jiony
9 w d s i hat he s till con siders himsel f a
1 0 cons ultant fo r M o n s a n t o .
11
MR . TALL0N :
Are you curr e n tiy
1 2 d o i n g any con suiting work for Mons a n to?
]3
A.
Only with-----
in connecti 0 n with
1 4 this depositi on. But I cannot be pa i d f o r
1 9 it d uring the d e p o s it ion.
1 6 Q . You can't be paid for it d u ring
1 7 t h v drpos i tio n ?
18
A . No.
There i s a court dec 1 s ion
1 9 that says you cannot be paid for a n i n - f a c t
2 0 dcpo s i t i o n .
2 1 Q. Okay. But what's the con s u 1 t i n g
2 2 work you're doing for Monsanto i n 2 3 conn ection with the deposition 7
2 4 A. This one, advising hi m as t o what
2 9 h a p p ened to the best of my --
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ST. LOUIS, MISSOURI
STLCOPCB4026549
1
MR. PREUSS:
You're not supposed
2 to discuss what you and I say.
3
MR. TALLON:
Okay.
So you're
4 tl t ,i w i n g a distinction between sitting here
5 and testifying and preparation?
6 A. Of course.
7 Q. And your testimony is that your
8 consulting arrangement is that you're
9 compensated for the preparation time, but
] 0 not for the testifying time?
1 1 A. Thatiscorrect.
.
1 2 Q. Do you know how many hours you
1 3 plan to bill Monsanto for?
]4
MR. PREUSS:
You don't have to
1 5 answer that.
16
A. I have no idea yet.
No.
17
MR. TALLON:
Do you belie v e that
1 8 the consultation in connection wit h this
1 9 deposition will last longer than t o d a y ?
20
A. No.
I hope not.
2 1 Q. And at what rate are you being
2 2. compensated?
2 3 A . I haven't judged the rate yet. I
2 4 was doing it by day, which is what my type
2 8 consultant usually did.
I cannot do that
I I
(GORE REPORTING COMPANY
ST. LOUIS, MISSOURI
STLCOPCB4026550
I
1 with Monsanto because of the time I spend
2 on ragged pieces of two hours here a n d
3 three there, so I do it on a monthly -- on
4 an hourly basis. 5 Q. And what's your customary h o u r 1 y
6 rate?
7 A. Fifty dollars an hour.
8 Q. And do you expect to receiv e that
9 of something like that in connection with
1 0 your consulting work for this deposi t i o n ?
1 1 A. Of course.
1 2 Q And y our e xpen s es ? 1 3 A . I g o t i t f r o m t h e S c h o o 1 B o a r d in 1 4 s t . Louis , w h y s h o u 1 d n ' t I g e t it f r o m
]. 5 Monsanto .
1 6 Q . And are your expenses being picked
1 7 up?
1 8 A. As long as we're in town I do not
1 9 charge expenses to them. It's too f^ `
2 0 difficult to do and maintain records o n .
2 1 Q. And you live in St. Louis?
2 3 A. I live in Kirkwood.
23
MR. TALLON:
I don't 'believ e I
2 4 have .my thing further.
25
MR. PREUSS:
I have no ques t i o n s
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G 0 K F: h' F. 1' 0 K T ING COMPANY
ST. LOUIS, MISSOURI
STLCOPCB4026551
i
1 at this time.
2
3 4 5 (. 7 8 9 10 11 l2 13 14 15 16 17 18 19 20 21 22 23 24 25
GORE REPORTING COMPANY
.
ST. LOUIS, MISSOURI a r\ I
STLCOPCB4026552
1
C 0 M E S NOW THE WITNESS
JACK T.
2 G A R K i: T 'i , and having read the foregoing
3 transcript of the deposition taken on (.he
4 1st day of April, 1992, acknowledges by
5 signature hereto that it is a true and
6 accurate transcript of the testimony given
7 on the date hereinabove mentioned.
8
9
10
1 1 JACK T. GARRETT
12
1 3 Subscribed and sworn to me before this
1 4 _ _ ______ day of ,
1 9 9 2.
1 5 My Commission expires :
16
17
18
]9 r^ `
2 0 Notary Public
21
22
23
2 4 rg
23
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GORE REPORTING COMPANY
ST. LOUIS, MISSOURI
0/11
STLCOPCB4026553
1 State ofMissouri
)
2 ) SS .
3 CityofSt. Louis
)
4 I, Ronald A. Gore, a Notary Public in
5 and for the State of Missouri, duly
6 commissioned, qualified and authorized to
7 administer oaths and to certify to
8 depositions, do hereby certify that
9 pursuant to Notice in the civil cause now
3 D pending and undetermined in the Superior
1 1 Court for the State of California, for the
1 2. County of Los Angeles, to be used in the
1 3 trial of said cause in said court, I was
3 4 n d e d a t the o f f i c e s of Bryan Cave, 0 n e
1 5 o p o 1 i tan S q u are. in t h e City of St.
1 6 s , St ate o f Miss o u r i , by the a f o r e s a i d
1 7 ess; and b y the afores aid a t t o r n e y s / o n
3 8 the 1st day of April, 1992.
1 9 The said witness, being of sound mind
2 0 and being by me first carefully examined
2 1 and duly cautioned and sworn to testify the
2 2 truth, the whole truth, and nothing but the
2 3 truth in the case aforesaid, thereupon
2 4 testified as is shown in the foregoing
2 5 transcript, said testimony being by me
OOk'K REPORTING COMPANY
ST.
.
LOUIS,
^
MISSOURI
04 0
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STLCOPCB4026554
1 reported in shorthand and caused to be 2 transcribed into typewriting, and that the 3 foregoing pages correctly set forth the 4 testimony of the aforementioned witness,
5 together with the questions propounded by 6 counsel and remarks and objections of
7 counsel thereto, and is in all respects a
8 full, true, correct and complete transcript
9 of the questions propounded to and the
1 0 answers given by said witness; that
1 1 signature of the deponent was not waived by
] 7 agreement of counsel.
1 3 I further certify that I am not of
1 4 co v n s o1 or attorney for either of the
1 5 parties to said suit, not related to nor
1 6 interested in any of the parties or their
1 7 attorneys.
] 8 Witness my hand and notarial seal at
1 9 St. Louis, Missouri, this day
of
2 0 , 1 9 9 2.
2 1 My Commission expires May 22, 1994.
22
2 3 Notary Public in and for the
2 4 Slate of Missouri
25
pOKK 8 K 11 (i h' '!' ! NO COMPANY
ST. LOUIS, MISSOURI h a n !
STLCOPCB4026555