Document V35gQnJbNrYNgVd5EZn8G4aNg
1. X am the Director of Materials Management for
Kalex Chemical Products, Inc. (Kalex) and as such, I am
fully familiar with the facts and circumstances herein. 2. That I submit this Affirmation in Support of
the instant motion by the defendants Union Carbide and
Monsanto for summary judgment and dismissal of plaintiff's
complaint.
3. In 1978 Kalex purchased the Elm Coated Fabrics
Division of W.R. Grace. This purchase included the plant
at 5727 49th Street, Maspeth, New York where plaintiff's
decedent was employed.
4. At its plant, Kalex used polyvinyl chloride resins
to produce various vinyl products. These resins were
delivered to a silo on the premises. From the silo, the
raw materials were pumped into vats, mixed, and then rolled
into flat vinyl sheets. These sheets thereafter were used
in the manufacturing process of a number of different products.
These raw materials were generally consumed within a wee!-:
of delivery.
5. As Director of Materials Management, I have been
m charge of purchases of polyvinyl chloride resins and pro
ducts containing ?VC's. A review of records maintained by
Kale:-: indicates that t:. y have not purchased polyvinyl chloride
resins from 'Cnicn Carbide since at least 1977. In addition,
the records forth, r reveal that
Kalex
nsver purchased polyvinyl chloride resins from defendants,
UCC 087386
Monsanto, American Cyanamid, or Rohm & Haas. It was also the policy of Kalex to make purchases of polyvinyl chloride resins directly from each manufacturer. The third party distributors were not involved in these transactions.
6. For the above reasons, plaintiff's decedent could not have been exposed to any polyvinyl chloride resins or products containing the same manufactured by the defendants
Notary Pubtte, State of Naw York No. 52-4683362
Qualified In Suffolk County o i Commission expires March 30,1flL /
UCC 087387