Document V89r6w0M0y8Q6pKXVKpK954

K8895DIA058 Unknown. INTERROGATORY NO. 105 If your answer to any one or more of the subparts of Interrogatory No. 104 is "Yes," then with respect to each subpart for which you answered "Yes": (a) Identify each and every board meeting at which said subject was discussed by stating the date(s) on which, and the locations at which, each meeting was held; (b) Identify any and all persons present at each such meeting; and, (c) Identify any and all documents, including, but not limited to, minutes, referring to, relating to, or reflecting each such meeting. ANSWER TO INTERROGATORY 105. See answer to interrogatory 104. INTERROGATORY NO. 106: Identify any and all seminars, symposiums, conferences or like gatherings attended by any officer, agent or representative ofDefendant, any predecessor or any related company, at which the subject of asbestos, the health hazards of asbestos exposure, or the placement or providing of warnings was discussed. ANSWER TO INTERROGATORY 106.' Some ofthe defendant's employees are or have been members of, or have attended seminars held by, various trade associations such as the American Society of Metals, the American Association ofMechanical Engineers, (Friction Subcommittee, Transmission and Drivetrain Technical Committee), the National Safety Council and the Asbestos Information Association. Answering defendant has no knowledge of the extent to which the topic of asbestos was discussed. INTERROGATORY NO. 107: Identify any and all documents, including, but not limited to, notes, reports, minutes or bulletins, which refer to, relate to or reflect any meeting identified in response to Interrogatory No. 106. ANSWER TO INTERROGATORY 107, Borg-Wamer knows of no documents responsive to this interrogatory. INTERROGATORY NO. 108: With respect to each job site set forth in the attached Exhibit A: (i) identify any and all documents referring to, relating to or reflecting the purchase, sale, delivery, use, application or ordering, of any of the products listed in response to Interrogatory Nos. 19 and 42 by, for, to or at said site; and, (ii) identify any and all persons known by Defendant to have knowledge concerning the same:'