Document VJe7qX1VymZyE5wkvNx0RDv5Z
FILE NAME DuPont DUP
DATE 1986 Oct 23 DOC DUP003
DOCUMENT DESCRIPTION Legal - Deposition of James Morgan
SUPERIOR COURT OF NEW LAW DIVISION - CAMDEN DOCKET NO 27251-79
JERSEY COUNTY
WILLIAM B. MILLISON
PLAINTIFF
VS.
E.I. DU PONT DE NEMOURS & COMPANY ET AL
ORAL DEPOSITION
AS \
fo JAMES F. MORGAN
|
ae
NNasbesto only only a
x
*
&
*
*
THURSDAY OCTOBER 23 1986
10
x
* *
*
*
11 TRANSCRIPITN THE ABOVE MATTER TAKEN
HOTEL DU PONT
1007
MARKET
STREET
AT
ROOM
10:00
12
AT THE
COMMENCING
WILMINGTON DELAWARE
7150
13
M.
14 15 16 17 18
19
APPEARANCES
APPEARANCES
TOMAR SELIGER SIMONOFF ADOURIAN &
O'BRIEN ESQUIRES
BY
DAVID JACOBY ESQUIRE
ATTORNEYS FOR THE PLAINTIFF
CARPENTER BENNETT &
BY
ROSEMARY ALITO
MORRISSEY
ESQUIRE
ATTORNEYS FOR E.I. DU PONT
ESQUIRES
20 21 22 23 24
CERTIFIED
SHORTHAND REPORTING ARRANGED THROUGH
SERVICES
MASTROIANNI & FORMAROLI INC
SUITE 310
CHERRY
2201 ROUTE 38 HILL NEW JERSEY
08002
609 964-3440
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
morgan 3,11
OF MR MORGAN BY MR JACOBY
OF MR MORGAN 120,21
BY
MS
ALITO
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
kwd o
[
morgan
REQUEST
OBJECTION
16 4 43 3
53,19
70 4 94 4
28 7
45,12
57 1 73 1 100 7
37,24 46,18
58 l
76,18
DIRECTION
38,22 47,16 60.22
89 9
39 5 48,10 67,11 89,25
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
EXHIBITS EXHIBITS
P MORGAN THROUGH P MORGAN
DOCUMENTS
3 7
10 11 12 13 14 15
16 17 18 19 20 21 22 23
24 25
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
IT IS AGREED BY AND BETWEEN
COUNSEL THAT THE READING AND SIGNING OF THE DEPOSITION BE WAIVED AND THAT
ALL OBJECTIONS EXCEPT AS TO THE
FORM OF THE QUESTION BE RESERVED UNTIL THE TIME OF TRIAL
10 11 12 13 14
16 17
EXHIBITS P MORGAN THROUGH P
MORGAN ARE MARKED FOR IDENTIFICATION
JAMES F. MORGAN HAVING BEEN DULY SWORN WAS
EXAMINED AND TESTIFIED AS FOLLOWS )
EXAMINATION OF MR MORGAN BY MR JACOBY :)
Q.
GOOD MORNING MR MORGAN
MY NAME IS DAVE
JACOBY AND I'M HERE TODAY TO TAKE YOUR
DEPOSITION
MY OFFICE REPRESENTS A NUMBER OF PAST
AND PRESENT DUPONT EMPLOYEES WHO HAVE FILED A
LAWSUIT ALLEGING VARYING DEGREES OF
ASBESTOS DISEASE
18
HAVE YOU EVER HAD YOUR DEPOSITION TAKEN
19 BEFORE SIR
A.
YES I HAVE
21
Q.
HAVE YOU EVER HAD IT TAKEN AS A REPRESENTIVE
22
OF THE DUPONT COMPANY
23
A.
NO
24
Q.
IN WHAT CONTEXT HAVE YOU HAD A DEPOSITION
25
TAKEN
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
A.
AS AN EXPERT WITNESS
Q. IS THAT PART OF YOUR PRIVATE CONSULTING
PRACTICE THAT THAT WAS DONE
A.
YES IT IS
I WILL GO OVER WITH YOU BRIEFLY SIR SOME 2
INSTRUCTIONS OKAY
7
I'M GOING TO ASK YOU A SERIES OF QUESTIONS
IF YOU DON'T UNDERSTAND ANY QUESTION THAT I MAY
10 11 12 13 14 15
ASK YOU SIR PLEASE ASK ME TO REPEAT THE
QUESTION
I'D BE MOST HAPPY TO DO SO
IF YOU
THINK A QUESTION IS SUSCEPTIBLE TO MORE THAN ONE
INTERPRETATION PLEASE TELL ME THAT THE QUESTION
IS NOT CLEAR TO YOU AND AGAIN I'LL REPHRASE THE
QUESTION
IF YOU DO ANSWER A QUESTION I'M GOING
TO ASSUME THAT YOU UNDERSTOOD THE QUESTION THAT I
16 17 18 19
ASKED YOU
I REMIND YOU SIR YOU ARE UNDER OATH AND ANY TESTIMONY YOU GIVE HERE THIS MORNING IS
SUBJECT TO THE SAME PENALTIES AS IF YOU WERE IN A
20 21 22
COURTROOM
DO YOU UNDERSTAND MY INSTRUCTIONS
A.
YES I DO
23 Q.
ANY QUESTIONS
24
A.
25
Q.
THANK YOU
ALL RIGHT
DID YOU REVIEW ANY MATERIAL
MASTROIANNI & FORMAROLI INC
Professionals Serving Professionals
MORGAN - JACOBY SIR IN PREPARATION FOR THIS DEPOSITION THIS
MORNING A. I SAW SOME LETTERS CORRESPONDENCE THAT HAD MY NAME ON THEM AND I SAW THEM BRIEFLY LIKE I JUST
SAW YOURS THE ONES THAT YOU HANDED ME
MS ALITO
ALL OF THE DOCUMENTS THAT
MR MORGAN REVIEWED YESTERDAY IN PREPARATION FOR
THE DEPOSITION YOU HAVE BEEN PRODUCED
MR JACOBY
OKAY
ARE THESE THE -~
10 MS ALITO IT'S THE STACK OF
11
DOCUMENTS THAT I HANDED TO YOU SEVERAL MONTHS
12
AGO
13
BY MR JACOBY
14
Q.
15
A.
OKAY THERE WERE A COUPLE THAT YOU HANDED ME THIS
16 17 18 19 20
MORNING THAT I HAD NOT SEEN Q. DID YOU REVIEW ANY DOCUMENTS TO THE BEST OF YOUR MEMORY THAT YOU WERE NOT ON AS EITHER THE
SENDER OF THE DOCUMENT THE RECEIVER OF THE
DOCUMENT OR SOMEONE WHO WAS COPIED WITH A
21 21
DOCUMENT
22
A.
23
Q.
24
A.
NO I DID NOT DID YOU REVIEW ANY MATERIALS BY DR STOPPS
ONLY THOSE LETTERS OF HIS WHICH HAD ME
MARKED FOR A COPY
MASTROIANNI & FORMAROLI INC
Professionals Serving Professionals
MORGAN - JACOBY
Q.
|
A
WHAT ABOUT KEN KEUPER
SAME THING
Q.
SIR AT THE PRESENT TIME YOU ARE
EMPLOYED IS THAT CORRECT
A.
THAT'S CORRECT
Q. AND I'M LOOKING NOW AT WHAT WE'VE MARKED P
MORGAN WHICH IS YOUR RESUME
I JUST WANT TO
GO THROUGH IT BRIEFLY
YOU'VE BEEN EMPLOYED
AS A CONSULTANT IN INDUSTRIAL HYGIENE SINCE 1981
10
IS THAT CORRECT
11
A.
12
Q.
1980 1980
Sor Reser 19e0" THAT TUD
13 DUPONT COMPANY
14
A.
THAT'S CORRECTO
15
Q.
AND YOU BEGAN EMPLOY EMPLOY AT THE DUPONS
16 IN COMPANY 1961 3. THAT CORRECTS
17
18
Q.
19
WHEN BEGAN
BEGAN YOUR x
EMPLOY
AT THE
DUPONT
-DUPON
MEIN DID YOU HAVE A JOB CLASSIFICATION
20 21 TITLE WAS ASSISTANT TO THE DIRECTOR OF
22 HASKELL LABORATORY .
23
Q.
DURING THE COURSE OF YOUR EMPLOYMENT AT
DUPONT DID THAT JOB TITLE EVER CHANGE
A.
IT CHANGED
AT ONE POINT I WAS DESIGNATED A
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
CONSULTANT IN INDUSTRIAL HYGIENE Q. YOUR FIRST TITLE WAS ASSISTANT TO THE DIRECTOR OF HASKELL LAB
A.
THAT'S CORRECT
Q
WHO WAS THE DIRECTOR IN 1961
A.
JOHN ZAPP
Q. . OKAY WITH YOUR CHANGE IN JOB TITLE DID YOUR DUTIES CHANGE AT ANY TIME THROUGHOUT THE
COURSE OF YOUR NINETEEN YEARS OR SO AT DUPONTS
10
A.
WELL THERE WAS ANOTHER CHANGE THAT -- I WAS
11
PROMOTED TO A CLASS THEY CALL STAFF CONSULTANT
12
Q
13
A.
-~
AND WHAT EXACTLY
AND I BEGAN TO TAKE ON MORE RESPONSIBLE
14
ASSIGNMENTS I GUESS
THERE'S NO
CHANGE IN
15
FORMATION THOUGH
I STILL REPORTED TO THE
16
ASSISTANT DIRECTOR OF HASKELL LABORATORY
17
Q.
--
WHEN YOU STARTED YOU WERE THE ASSISTANT
18
A.
ASSISTANT TO THE DIRECTOR
19
Q.
20
A.
YES
BUT ADMINISTRATIVELY I REPORTED TO THE
21
ASSISTANT DIRECTOR
22
Q.
23
A.
AND WHO WAS THAT IN 1961 IN 1961 IT WAS WESLEY CLAYTON
24
Q.
COULD YOU TELL ME SIR AS BEST YOU CAN
25
GOING BACK OVER YOUR NINETEEN YEARS AT DUPONTS
MASTROIANNI & FORMAROLI INC
Professionals Serving Professionals
MORGAN - JACOBY
YOUR IMMEDIATE SUPERVISORS
YOU BEGAN WITH
CLAYTON IN 1961
A.
IT BEGAN WITH CLAYTON
I THINK HE WAS
SUCCEEDED BY STOPPS GORDON STOPPS
Q.
A.
YOU REPORTED DIRECTLY TO DR STOPPS AT SOME POINT IN THERE THERE WAS A DR
MC CUSICK WHO WAS MADE MY SUPERIOR
HIS TITLE WAS
MANAGER OF ENVIRONMENTAL AFFAIRS OR SOME SUCH
THING AS THAT
HE WAS A MEDICAL DOCTOR
10 11 12 13 14 15
Q.
ANYONE ELSE SIR
A.
IN LATER YEARS IT WAS DR MC CUSICK WHO
BECAME ASSISTANT DIRECTOR OF THE LABORATOARNYD I
REPORTED TO HIM
BUT I ALSO REPORTED NOT DIRECTLY
TO MC CUSICK BUT TO AN INTERMEDIATE WHO WAS AGAIN
A MANAGER OF ENVIRONMENTAL AFFAIRS
HIS NAME WAS
16
FRANK BOWER
17
Q.
DID YOU EVER REPORT DIRECTLY TO DR
18
D'ALONZO
19
A.
20
Q.
21
A.
22
Q.
23
A.
NO DID YOU EVER REPORT DIRECTLY TO DR ZAHN NO WHAT ABOUT DR REINHARDT NOT DIRECTLY
24
Q.
25
A.
DID YOU KNOW --
YES I DID REPORT DIRECTLY TO DR
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
REINHARDT
WHEN HE BECAME DIRECTOR OF HASKELL
LABORATORY HE SERVED FOR A TIME AS A MANAGER OF
ENVIRONMENTAL AFFAIRS
WE HAD A WHOLE SUCCESSION
OF THEM MANAGERS OF ENVIRONMENTAL AFFAIRS THAT
DIDN'T STAY VERY LONG
AND ANOTHER ONE WHOM I
FORGOT TO MENTION WAS BRUCE CARR
Q.
YOU REPORTED DIRECTLY TO DR CARR AT SOME
POINT
A.
YES
10
Q.
WAS YOUR ENTIRE EMPLOY AT DUPONTS RELEGATED
11
TO THE HASKELL LABORATORY
12
A.
13
Q.
YES
AND THE EMPLOYEE RELATIONS DEPARTMENT IS
14 15 16
THAT CORRECT
A.
UNTIL THE LATER YEARS WHEN HASKELL
LABORATORY BECAME A PART OF THE CENTRAL RESEARCH
17
AND DEVELOPMENT DEPARTMENT
18
Q.
OKAY
DOCTOR LOOKING AT YOUR - EXCUSE ME
19
MR MORGAN --
20 21 22 23
A.
YOU CAN CALL ME JIM
Q.
LOOKING AT YOUR RESUME I SEE THAT YOU
RECEIVED YOUR EDUCATION AT LOYOLA UNIVERSITY IN
NEW ORLEANS IN 1933 TO '36 IS THAT CORRECT
24
A.
25
Q.
THAT'S WHEN I STARTED COLLEGE
AND THEN GEORGE WASHINGTON UNIVERSITY +37
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
10 MORGAN - JACOBY
TO '39 AND THEN GEORGETOWN 39 TO 42
IN 1942
SIR POLROUNDED POLROUNDED THE HARVARD SCHOOL OF PUBLI^
HEAL CORR THAT THE AT COC RRECT T COR ECT
A.
THAT'S CORRECT
Q.
DID YOU GRADUATE FROM THE HARVARD SCHOOL OF
PUBLIC HEALTH
A.
THIS WAS A SPECIAL SCHOOL WHICH THE SCHOOL
OF PUBLIC HEALTH PUT ON FOR A SUCCESSION OF NAVY
OFFICERS AND I WAS IN THE LAST COURSE IN THAT
10
SUCCESSION
I DID NOT GET A DEGREE
I WAS
11
AWARDED A CERTIFICATE IN INDUSTRIAL HYGIENE
12
Q.
WHERE HAD YOU RECEIVED YOUR SPECIALIZED
13
TRAINING IN INDUSTRIAL HYGIENE
14
A.
AT THE HARVARD SCHOOL OF PUBLIC HEALTH
abc
15
THAT'S WHAT I WAS SENT THERE FOR
16
Q.
PRIOR TO GOING - HOW LONG WAS THIS COURSE
17
THAT YOU TOOK
18 19 20 21
A.
ABOUT FOUR MONTHS
e
Q.
ALL RIGHT
PRIOR TO THE FOUR MONTHS IN 1942
AT THE HARVARD SCHOOL OF PUBLIC HEALTH HAD YOU
RECEIVED ANY SPECIALIZED TRAINING IN INDUSTRIAL
22
HYGIENE AT ANY TIME
23
A.
NO
I HAD BEEN WORKING IN BIOLOGICAL
24
CHEMISTRY
25
Q.
WAS THAT YOUR MAJOR COURSE OF STUDY IN
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
11 MORGAN - JACOBY
COLLEGE
A.
I MAJORED IN CHEMISTRY IN COLLEGE AND AT
GEORGETOWN I TOOK GRADUATE WORK IN BIOCHEMISTRY
2
DID YOU GET A DEGREE IN BIOCHEMISTRY
A.
NO
I WENT INTO THE NAVY SHORT OF GETTING
MY DEGREE FROM GEORGETOWN
Q.
IN THE FORM OF DEGREES YOU HAVE A BACHELORS
DEGREE
A.
BACHELORS OF SCIENCE AND CHEMISTRY
10
Q.
THE MONTH TRAINING SCHOOL AT HARVARD
11
WAS FOR INDUSTRIAL HYGIENE IS THAT CORRECT
12
A.
THAT'S RIGHT
13
Q.
NOW SIR I'M NOT GOING TO GO OVER WITH YOU
14
YOUR VARIOUS EMPLOYMENT AS INDICATED IN YOUR
15
RESUME
I'LL JUST ASK YOU IS THIS RESUME TO THE
16
BEST OF YOUR KNOWLEDGE AN ACCURATE REFLECTION OF
17
YOUR EMPLOYMENT HISTORY
18 19 20
A.
IT IS ACCURATE
2
AND IF ANYTHING HAPPENS IN THE FUTURE THAT
SHOULD BE ADDED TO THE RESUME IF YOU'LL BE GOOD
21
ENOUGH TO LET ME KNOW OKAY
22
A.
ALL RIGHT
Q.
IF YOU GET APPOINTED TO A PRESIDENTIAL
24
COMMISSION OR WHATEVER
OKAY
25
IS IT SAFE TO SAY SIR THAT UPON YOUR -
MASTROIANNI & FORMAROLI INC
Professionals Serving Professionals
MORGAN - JACOBY
12
CENBCE ENBER R TO AREAS RELATING TO
INDUSTRIAL HYGIENE 2
A.
I
WORKED
WAS IN THE NAVY
INDUSTRIAL HYGIENE LONG AS 1. AND THAT ENDED EARLY IN 1946
A.
AT WHICH TIME I WENT BACK TO MY CIVILIAN JOB
IN BIOCHEMISTRY BUT AFTER A SHORT PERIOD OF TIME TIME
10
I REALIZED THAT T PREFERRED WORKING IN INDUSTRIAL INDUSTRIAL
11
12 OP MY CARB CARE BERRINDUSTRIAL INDUSTRIAL HYGIENE HYGIENE
13
Q.
CULMINATING IN THE LAST SIX YEARS OR SO AND
14
I DON'T MEAN TO HOLD YOU TO THE YEARS
I'M JUST
15
USING APPROXIMATIONS AS / YOUR EMPLOYMENT AS
16
A PRIVATE CONSULTANT IS THAT CORRECT
17
A.
YES
IMMEDIATELY UPON LEAVING DUPONT I
18
JOINED A CONSULTING FIRM WITH HEADQUARTERS IN
19
MINNEAPOLIS AND I OPENED AN EAST COAST BRANCH
20
BUT I HAD A HEALTH PROBLEM THAT YEAR AND WAS NOT
21 22
ABLE TO WORK UP THE BUSINESS AND I RESIGNED AFTER OH ABOUT FOUR MONTHS
23
Q.
WHY DID YOU LEAVE DUPONT SIR
24
A.
1 WAS OLD ENOUGH TO RETIRE
25
Q
AND HOW OLD IS THAT
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
13 MORGAN - JACOBY
A.
WELL I RETIRED JUST SHORTLY BEFORE MY
FIFTH BIRTHDAY
I'M SEVENTY NOW
2
A.
Q.
OKAY
I DON'T JOG
THAT'S WHY I LOOK YOUNG
IF I WOULD HAVE GUESSED I WOULD HAVE BEEN
WAY OFF MR MORGAN
I WANT TO TALK WITH YOU FOR JUST A FEW
MINUTES ABOUT YOUR FORMAL TRAINING IN INDUSTRIAL
HYGIENE
WHAT IS INDUSTRIAL HYGIENE SIR
10
A.
INDUSTRIAL HYGIENE IS AN ART AND SCIENCE
11
THAT DEALS WITH THE PROTECTION OF THE HEALTH OF
12
14 15 16 17
WORKERS
Q.
DOES IT INVOLVE SIR THE IDENTIFYING OF
VARIOUS CLASSIFICATIONS OF WORKERS WHO MAY BE AT
RISK OF BEING EXPOSED TO OCCUPATIONAL AGENTS
A.
YES
IT CONSISTS OF THE IDENTIFICATION OF
HAZARDS AND PEOPLE AT RISK AND THE EVALUATION OF
18
THE RISK AND CONTROL OF IT
19 20 21 22
Q.
AND THE INDUSTRIAL HYGIENE IN THIS COUNTRY
SIR IS A VERY STRUCTURED OCCUPATION IS IT NOT IN TERMS OF PROFESSIONAL ASSOCIATIONS AND
PERIODICALS RECEIVED AND SO ON WOULD THAT BE
23
CORRECT
24
A.
YEAH THAT IS CORRECT
IT HAS BEEN FOR A
25
NUMBER OF YEARS
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
14
Q.
AND YOU HAVE BEEN A MEMBER AS YOUR RESUME
INDICATES OF ANY NUMBER OF PROFESSIONAL
ASSOCIATIONS DEVOTED TO INDUSTRIAL HYGIENE IS
THAT CORRECT
A.
THAT'S CORRECT
Q
INCLUDING THE ACGIH AMERICAN CONFERENCE OF
GOVERNMENTAL AND INDUSTRIAL HYGIENE
A.
I WAS ELIGIBLE FOR MEMBERSHIP WHEN I WAS IN
THE U.S. NAVY
10
Q.
AND AS A MEMBER OF THESE VARIOUS
11
PROFESSIONAL ASSOCIATIONS DID YOU GET THEIR
12
PERIODICALS
13
A.
YES I GOT THE PERIODICALS OF THE AMERICAN
14
INDUSTRIAL HYGIENE ASSOCIATION AND HAD ACCESS TO
15
MANY OF THE PERIODICALS AND SPECIAL PUBLICATIONS
16
OF THE ACGIH AND NATIONAL SAFETY COUNSEL AND --
17
Q.
DID YOU GET THE AMERICAN JOURNAL OF
18
INDUSTRIAL HYGIENE
19
A.
YES THAT WAS THE FIRST ONE THAT I
20 MENTIONED
21
Q.
THROUGHOUT THE COURSE OF YOUR CAREER I
DON'T SAY READ RELIGIOUSLY BUT DID YOU READ THESE
PERIODICALS THAT YOU RECEIVED DID YOU LOOK AT
THEM
A.
I REVIEWED THEM AND I READ CERTAIN ARTICLES
MASTROIANNI & FORMAROLI INC
Professionals Serving Professionals
15 MORGAN - JACOBY
10 11 12 13 14 15
THAT WERE OF CONCERN TO ME
AND THE EXTENT OF MY
JOURNAL READING AND REVIEWING VARIED WITH MY
EMPLOYMENT AT THE TIME
FOR EXAMPLE IN THE
I WAS AT MELLON INSTITUTE IN THE INDUSTRIAL
HYGIENE FOUNDATION I HAD DIRECT ACCESS TO
YEARS
EVERYTHING THAT WAS PUBLISHED IN THE FIELD
AND
PART OF MY DUTY WAS TO REVIEW THEM AND ABSTRACT
CERTAIN ARTICLES
LATER IN THE PENNSYLVANIA
RAILROAD COMPANY WE DIDN'T HAVE ACCESS TO SUCH A
GOOD LIBRARY AND IT WAS MORE LIMITED
Q. SIR
LET'S TALK ABOUT YOUR
IT'S BEEN ESTABLISHED
EMPLOYMENT AT DUPONT
THAT DUPONT HAS
SUBSCRIBED TO ANY NUMBER
HYGIENE AND HEALTH
DID
WHILE YOU WERE EMPLOYED
OF JOURNALS OF INDUSTRIAL YOU HAVE ACCESS TO THESE
16
A.
YES
17
Q.
DID YOU IN FACT GO AHEAD AND READ THOSE ON
18 OCCASION
19
A.
FREQUENTLY
20
Q.
YOU KEPT UP WITH YOUR FIELD IS THAT
21 CORRECT
22
A.
THAT'S CORRECT
23
Q.
NOW SIR IS IT ALSO NOT CORRECT THAT PART
24 OF INDUSTRIAL HYGIENE IS TO PHYSICALLY SEE THE
25
PLANTS THAT YOU'RE
RESPONSIBLE FOR TO UNDERSTAND
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
16 MORGAN - JACOBY
WHAT'S MADE IN THOSE PLANTS TO UNDERSTAND THE DIFFERENT STRATA OF EMPLOYEES AND WHAT THEY DO AND
TO BE THERE PHYSICALLY
IS THAT ~--
OBJECTION
MS ALITO
I OBJECT TO THE QUESTION
ON THE GROUND THAT IT'S NOT CLEAR WHETHER WE'RE
SPEAKING ABOUT INDUSTRIAL HYGIENE IN GENERAL OR
MR MORGAN'S RESPONSIBILITIES AS AN INDUSTRIAL
HYGIENIST 10
MR JACOBY
I'LL REPHRASE IT
11
BY MR JACOBY
12
Q.
AS PART OF YOURRESPONSTATETT
13 THE DUPONT COMPANY COMPANY DID YOU HAVE OCCASION OCCASION TO MAKE
14
PHYSICAL INSPECTIONS OF THE PLANTS THAT YOU WERE
15
RESPONSIBLE RESPONSIBLE RESPONSIBLE FON w
16
18
19
20
21 THE
22
Q.
A.
24
Q.
25
A.
Ka ALANG ENDEEPWATER
CHAM WORB KS E ON SR EVES RAL
THE 1984 PERIOD I CAN'T GIVE YOU
|
NUMBEORF TIMESI WAS THEng.
CAN YOU GIVE ME AN APPROXIMATION
I'D SAY THREE OR FOUR TIMES
add
in
in
WHAT ABOUT THE REPAUNO PLANT
NO I DIDN'T SEE REPAUNO
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
17 MORGAN -- JACOBY
Q.
DID
WORKS
YOU
KNOW
WHAT
WAS
MADE AT
CHAMBERS
A.
I KNEW SOME OF THE PRODUCTS AT CHAMBERS
WORKS
Q.
DID YOU KNOW THAT ASBESTOS WAS BEING USED AT
THE CHAMBERS WORKS PLANT AS INSULATION
A.
MY VISITS TO CHAMBERS WORKS DID NOT CONCERN
ITSELF WITH THE USE OF ASBESTOS BUT I WAS AWARE
THAT IT WAS THERE BECAUSE ~-
10
2
YOU WERE AWARE GENERALLY THAT IT WAS USED
11
THROUGHOUT THE DUPONT COMPANY
12
A.
YES
13 14
Q.
I THINK IN ONE OF THE DOCUMENTS WE'LL
DISCUSS IN A FEW MINUTES YOU CALLED IT UBIQUITOUS
A.
THAT'S A GOOD WORD
16
Q.
IT'S YOUR WORD NOT MINE
BUT I LIKE IT
17 YOU'RE AWARE THAT ASBESTOS WAS USED AS PIPE
18 INSULATION IS THAT CORRECT
19
A.
YES
20 21 22 23 24
2 AND WERE YOU AWARE SIR BEGINNING WITH YOUR
EMPLOY IN 1961 WITH DUPONT THAT THERE ARE
CLASSIFICATIONS OF PEOPLE WHO WORKED WITH ASBESTOS
ON A DAILY BASIS
I'M TALKING SPECIFICALLY ABOUT
THE INSULATORS
A.
I KNEW FROM MY PREVIOUS EXPERIENCE IN
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
18
CHEMICAL PROCESSING AND OIL REFINING THAT IN ORDER
TO USE ASBESTOS INSULATION IN A LARGE PLANT YOU
ALMOST HAD TO HAVE INSULATING SHOPS TO FABRICATE
PIECES AND YOU HAD OTHER PEOPLE TO INSTALL THEM
Q.
AND WHEN YOU SAY FABRICATE THEM CUT TO SIZE
AND DO MECHANICAL PROCESSES INVOLVING IT AND
CUTTING TRANSITE SHAPING THAT TYPE OF THING
A.
THAT TYPE OF THING YES
2
ALL RIGHT
AND TO YOUR KNOWLEDGE SIR AS
10
AN INDUSTRIAL HYGIENIST IS THAT NORMALLY A DUSTY
11
PROCEDURE
12
A.
SOME OF THE PROCESSES DO PRODUCE DUST AND
13
REQUIRE DUST CONTROL
14
Q.
WHAT ABOUT TEAR WORK OR OFF WORK TO
15
YOUR KNOWLEDGE WAS THAT A DUSTY PROCESS
16
A.
IT CAN BE YES
AND I DON'T RECALL EVER
17
HAVING WITNESSED IT AT CHAMBERS WORKS OR ANY
18
DUPONT PLANT
19
Q.
DO YOU RECALL HAVING RECEIVED DOCUMENTS
20
TALKING SPECIFICALLY ABOUT HOW DUSTY THESE
21
OPERATIONS WERE AND DO YOU RECALL YOUR HAVING
22
AUTHORED DOCUMENTS TALKING SPECIFICALLY ABOUT HOW
23
DUSTY THESE OPERATIONS WERE
24
A.
AT THE MOMENT I DON'T RECALL THOSE THINGS
25
Q.
OKAY
WE'LL DISCUSS THEM IN A FEW MINUTES
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY |
19
emer 1961SIR KNOW EM ASKING YOU TO
YOU
BEGAN YOUR EMPLOY
iKed NOWLEDGEOFASBESTOS DIDYOU KNOW WHAT
Mae
KNOWLEDGE
IT WAS
A.
YES
Q.
DID YOU KNOW THEN WHAT IT WAS USED FOR
A.
YES
Q.
AND DID YOU ACQUIRE THAT KNOWLEDGE WHILE
ATTENDING YOUR COURSE THE HARVARD SCHOOL
10 INDUSTRIAL HYGIEN?E
11
A.
THAT'S THE HARVARD SCHOOL OF PUBLIC
12
Q.
I'M SORRY
13
A.
THAT'S WHEN I FIRST LEARNED ABOUT THE THE
14
POSSIBILITY OF OCCUPATIONAL OCCUPATIONAL DISEASE FROM THE USE
eee ots atid
15 OF PROCESSING OF ASBESTOS
16
Q.
AND YOU LEARN SIR THAT NEEDED TO
17 BE CONTRO INLTE HENCOD NTROL
OF THE
18
UTOBASES WAS THE DUST THAT WAS
19
THAT HAD BE CONTROLLED
FETHAT FETHAT
? THATIN 1961
A.
YES
e
ALL RIGHT YOU KNEW ASBESTOS WAS INHALED
AND IT WAS THE DUST THAT WAS INHALED
A.
THAT'S CORRECT
MASTROIANNI & FORMAROLI INC
Professionals Serving Professionals
MORGAN - JACOBY
20 20
Q.
DID YOU HAVE AN OPINION SIR IN 1961 AS TO
WHETHER OR NOT ASBESTOS CAUSED CANCER OF THE LUNG
A.
IN 1961 I HAD SEEN SOME SCATTERED REPORTS OF
THE OCCURRENCE OF LUNG CANCER IN PEOPLE WHO HAD
THE DISEASE OF ASBESTOSIS
BUT I DID NOT HAVE ANY
EFFECT RELATIONSHIP BEFORE ME
2
WELL YOU'RE NOT A MEDICAL DOCTOR AND I'M
NOT ASKING FOR AN EXPERT OPINION OR ANYTHING LIKE
THAT IN TERMS OF DOES IT OR DID IT
I JUST WANT
10
TO KNOW WHAT YOU BELIEVED
WHETHER IT'S TRUE OR
11
NOT IS NOT FOR TO US WORRY ABOUT HERE TODAY
I
12
JUST WANT TO KNOW WHAT YOU BELIEVED ABOUT
13
ASBESTOS
14
A.
I WAS TAUGHT THAT YOU MUST CONTROL EXPOSURE
15
TO ASBESTOS FIBERS IN ORDER TO PREVENT
16
ASBESTOSIS
AT THAT POINT IN 1961 I HAD NOT YET
17
BEEN TOLD THERE IS A EFFECT RELATIONSHIP
18
WITH LUNG CANCER FROM ASBESTOS
19
Q.
BUT YOU WERE FAMILIAR WITH THE DISEASE
20
ASBESTOSIS IS THAT CORRECT
21
A.
I WAS
22 23
2
ASBESTOSIS IS REGARDED BY EXPERTS IN YOUR
FIELD AS AN AGENT SPECIFIC DISEASE THAT CAN ONLY
24
BE CAUSED BY ONE THING IT CAN ONLY BE CAUSED BY
25
ASBESTOS IS THAT CORRECT
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
21 MORGAN - JACOBY
A
|
01
YES THAT'S CORRECT
NOT LIKE PNEUMONIA OR WHATEVER ELSE YOU WANT
TO THINK OF
A.
NO
YOU CAN EXTRACT THE FIBERS FROM THE
LUNGS AND IDENTIFY THEM
Q.
NOW IN THESE PROFESSIONAL JOURNALS THAT YOU
HAD BEGUN RECEIVING YOU SAID THINK THINK BACK IN
THE LATE 40'S DO YOU RECALL READING THROUGH ANY
OF THOSE ANY NUMBER OF STUDIES THAT HAD BEEN
10 GOING ON INVOLVING ASBESTOS DISEASES SUCH *
11 AS ASBESTOSIS CANCER OF THE LONG MESOTHELIOMAC MESOTHELIOMAC
12
A.
ASBESTOSIS
13
Q.
DO YOU RECALL READING ANYTHING ABOUT LUNG
14 CANCER OR MESOTHELIOMA 19612-
15
A.
THERE WERE FEW SCATTERED REPORTS OF THE
16 OCCURRENCOE F LUNG CANCER IN PEOPLE WITH. 17 ASBBBTOSTS . BUT I DIDN'T KNOW OF ANY ONGOING
add
in
18
EPIDEMIOLOGY STUDY TO ESTABLISH A RELATIONSHIP
19
RE YOUR OPINION 19I6 N 11 961 THAT TO
20
DISEASE ASBEST YOO U S HAI D S TO CONTROL
21
22
23
Q.
OKAY
AND AGAIN SIR YOU SAID YOU WERE
24
AWARE THAT THERE WAS OPERATIONS THAT WERE BEING
25
CONDUCTED THAT WERE DUSTY IS THAT CORRECT
MASTROIANNI & FORMAROLI INC
Professionals Serving Professionals
MORGAN - JACOBY
22
A.
|
Q.
POTENTIALLY DUSTY YES POTENTIALLY DUSTY OUT WORK THE
MECHANICAL PROCESS AND YOU WERE AWARE ALSO IN
1961 WHEN YOU STARTED YOUR EMPLOY AT DUPONT THAT
THERE WERE PEOPLE AT DUPONT WHOSE JOB IT WAS WHO
EARNED A LIVING BY WORKING WITH ASBESTOS EVERY DAY
OF THE WEEK
WERE YOU AWARE OF THAT SIR
A.
I GUESS I MIGHT HAVE ASSUMED THAT
Q.
DID YOU KNOW THAT THEY WERE INSULATORS
10
EMPLOYED BY THE DUPONT COMPANY
11
A.
YES
12
Q.
YOU KNOW WHAT INSULATORS DO FOR A LIVING
13
DON'T YOU
THEY INSULATE
14
A
THE REASON I HESITATE IN RESPONDING DIRECTLY
15
TO THAT QUESTION OF YOURS IS THAT MY WORK IN
16
DUPONT IN 1961 DID NOT PUT ME IN IMMEDIATE
17
CONTACT
--
18
Q.
I UNDERSTAND
I JUST REALLY -- AND I KNOW
19
I'M PUTTING YOU IN KIND OF A TOUGH SPOT SITTING
20
HERE IN 1986 AND GOING BACK TO YOUR STATE OF MIND
21
TWENTY YEARS AGO
OKAY
I DON'T WANT TO BE
22
UNFAIR TO YOU
BUT WHAT I'M DRIVING AT IS NOT
23
WHAT YOU KNEW WHERE YOU HEARD IT FROM OR WHERE
24
YOU SAW IT
WE'LL DISCUSS THAT LATER
BUT I JUST
25
WANT TO KNOW WHAT YOUR ATTITUDES AND WHAT YOUR
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
OPINIONS WERE AT THE TIME THAT YOU STARTED WITH
THE DUPONT COMPANY
DO YOU UNDERSTAND ME
A.
YES I DO
Q.
OKAY
AFTER YOU BEGAN YOUR EMPLOY WITH
DUPONT DID YOU COME TO KNOW GORDON STOPPS
23
A.
YES I DID
Q.
AND IF YOU CAN RECALL WHEN DID YOU FIRST
COME TO KNOW HIM
A.
SOMETIME BETWEEN 1961 AND 1964
10 11 12
Q.
OKAY
A.
I DON'T RECALL WHETHER HE WAS AT THE HASKELL
LABORATORY WHEN I JOINED IN 1961.
HE MAY HAVE
13
BEEN
14
Q.
WHEN YOU CAME TO KNOW HIM WHAT WAS HIS JOB
TITLE DO YOU REMEMBER
16
A.
YEAH
HE WAS WORKING -- THE WORK OF THE
17
LABORATORY WAS DIVIDED UP INTO SEVERAL SECTIONS
18
AND HE WAS IN THE SECTION THAT DEALT WITH
19
PHYSIOLOGICAL --
20
Q.
PHYSIOLOGY SECTION
21
A.
YES
22
Q.
IN FACT HE BECAME A HEAD OF THE PHYSIOLOGY
23
SECTION DID HE NOT
IF YOU DON'T KNOW TELL ME
24
I DON'T WANT TO PUT WORDS IN YOUR MOUTH
25
A.
I DON'T RECALL WHETHER HE WAS HEAD OF IT OR
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
24
PAUL SMITH WAS HEAD OF IT
Q.
OKAY
DID YOUR JOB REQUIRE YOU TO HAVE ANY
PROFESSIONAL CONTACT WITH DR STOPPS IN THE EARLY
60'S LET'S SAY '61 WHEN YOU STARTED / +647
DID YOU WORK ON PROJECTS TOGETHER
A.
NO
Q.
DID YOU HAVE OCCASION -- HOW WAS IT THAT YOU
CAME TO KNOW HIM
A.
WELL HASKELL LABORATORY WAS RATHER SMALL AT
10
THE TIME AND I GOT TO KNOW PEOPLE IN ALL THE
11
SECTIONS
12 Q.
13
A.
SO -~ I'M SORRY I DID HAVE A FEW CONTACTS WITH THE
14
PHYSIOLOGY SECTION IN CONNECTION WITH MY WORK
Q.
16
A.
I SEE AND PERHAPS HE WAS THERE AT MEETINGS AND
17
DISCUSSIONS
18
Q.
WERE YOU WORKING --
19
A.
I DON'T HAVE ANY DISTINCT RECOLLECTION OF
20
HOW I GOT TO KNOW HIM OR WHAT MY RELATIONSHIP WAS
21 22 23
WITH HIM
Q.
DID YOU GET TO KNOW HIM WELL
DID YOU SIT
AND TALK OR WAS IT JUST HELLO IN THE HALL
24 24
A.
25
Q.
WELL HELLO IN THE HALL DURING THESE EARLY YEARS LET'S SAY +61 TO
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
'64 AT DUPONT DID ANY OF YOUR ASSIGNMENTS INVOLVE
ASBESTOS CONTROL OF ASBESTOS DUST
A.
NO
Q.
YOU WERE WORKING ON THINGS OTHER THAN THAT
A.
YES
Q.
DID DR STOPPS EVER TELL YOU THAT HE
ATTENDED THE NEW YORK ACADEMY OF SCIENCE IN
OCTOBER OF 1964
A.
YES I DO RECALL HIS RETURN FROM THAT
10
MEETING AND DISCUSSION
1
e
AND THAT WAS OTHERWISE KNOWN AS THE SELIKOFF
12
CONFERENCE
13
A.
YES NEW YORK ACADEMY OF SCIENCE
14
Q.
AND DID HE TELL YOU ABOUT THE CONFERENCE
15
A.
I HEARD ABOUT IT
16
MEETINGS
STAFF IT WAS PROBABLY IN
17
Q.
TO YOU SIR AT THAT TIME WHEN YOU HEARD
18
ABOUT IT WHAT WAS THE SIGNIFICANCE OF THAT
19
CONFERENCE
20 21 22 23 24
A.
AT THAT TIME I WITHHELD JUDGMENT ON WHETHER
THINGS WERE AS BAD AS DR SELIKOFF SEEMED TO THINK
THAT THEY WERE
IT WAS ONE PERSON WHO SPOKE OUT
RATHER ONE UNIT OF INVESTIGATION
AND USUALLY YOU
WAIT FOR CONFIRMATION --
25
Q.
IT WAS EIGHTEEN THOUSAND PEOPLE THOUGH
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
WASN'T IT THAT WAS IN THE STUDY
A.
BUT THEY WERE THERE LISTENING TO DR
26
SELIKOFF
Q.
SO YOU WEREN'T CONVINCED YET
A.
NO NO I WASN'T
Q.
WERE YOU AWARE SIR BACK IN THAT DR
SELIKOFF AND PROMINENT MEDICAL PEOPLE FROM AROUND
THE COUNTRY STATED AT THIS CONFERENTC HAE T
INSULATORS AND PEOPLE THAT ARE NOT BXPOSED +
10
DIRECTLY TO ASBESTOS IN THE CONTEXT HINING
11 IN THE IN THE FACTORY IN FACT WERE AT THONISH THONISH
12 OF MESOTAH NDEL MEISO OTMHA ELIOMA ASBESTOS
13
DISEASE
14
A.
THAT WAS AN OPINION THAT HAD BEEN HELD FOR
15
MANY YEARS IF IT'S ASBESTOS IT DOESN'T MATTER MATTER
16 WHETHER IT'S IN MINE OR A FACTO THAT'SR USIY NG
17
ASBESTOS
18
Q.
AND THAT WAS INDICIA N T MANE Y D OF THE
19 YO PMT YU OU HAD BEEN READING IN THE
20
21
A.
SURD
22
Q.
IS ONE OF THE COMMON BELIEFS DON'T FOCUS ON
23
THE FIBER FOCUS ON THE LUNG HOWEVER IT GOT
24
THERE IT GOT THERE LOOK AT WHAT IT DOES
25
A.
I WOULD FOCUS ON THE FIBER AND THE CONTACT
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
27 MORGAN - JACOBY
OF THE LUNG REGARDLESS OF THE SOURCE OF THE FIBER
Q.
THE AMOUNT OF FIBER IS CERTAINLY OF -
A.
THE AMOUNT AND THE LENGTH OF
EMPLOYMENT IN
THE DUSTY AIR
Q. BUT HAD SEEN THINGS WELL BEFORE 1964
INDIC THA AT T INI SULN ATOG RS PEOPLE WITH WITH
INDIRECT EXPOSURES
TO ASBESTOS HAD CONTRACTED
LUNG CANCER MESOTHELIOMA MESOTHELIOMA AND add
A
I DIDN'T KNOW ABOUT
MESOTHELIOMA AND -
in in
_
10
2
11
LET'S CONFTNE TIT TO ASBESTOSTASBESSTOSTS AND LUNG
12
A.
ASBESTOSTS ASBESTOSTS
YES
IN MY WORK IN THE
IND
NAUY
13
TO ATTEMPCOT NTE ROD L THE DUSTINESISN
WAS 14 PLACES PLACES WHEREASBESTOS BEING USED FOR THE THE VERY
15
OR
PURPOSE
ASBESTOSIS
16
e
DID YOU EVER HEAR OF MEREWETHER
17
A.
YES
18
Q.
HE WAS THE CHIEF INSPECTOR OF FACTORIES IN
19 ENGLAND IS THAT CORRECT
20
A.
YES
21
Q.
KIND OF AN INDUSTRIAL -- TOP DOG INDUSTRIAL
22
HYGIENIST IN THAT
COUNTRY IS THAT CORRECT
23
A.
YES
24
Q.
25
A.
HE WROTE A PAPER IN 1935 DIDN'T
1930. IT WAS PUBLISHED IN '30
HE THE
WORK
MASTROIANNI & FORMAROLI INC
Professionals Serving Professionals
MORGAN -- JACOBY
28
WAS IN '29
Q.
AND IN THAT PAPER HE TALKS ABOUT LOW LEVELS
OF ASBESTOS BUT FOR LONGER PERIODS OF TIME AND HE
SAID OH MY GOD EVEN THOUGH THE EXPOSURE MAY BE
VERY LIMITED IF YOU WORK A LITTLE LONGER YOU'RE
GOING TO GET THE DISEASE IS THAT CORRECT
OBJECTION
MS ALITO
I HAVE TO OBJECT TO THE
FORM OF THESE QUESTIONS
THEY'RE SUMMARIZING
10
REPORTS FOR THE DOCTOR AND IF YOU AGREE WITH EVERY
11
WORD THAT MR JACOBY IS STATING IN HIS
12
SUMMARIZATION THEN YOU CAN GO AHEAD AND ANSWER
13
THAT YOU AGREE
BUT I WANT TO MAKE CLEAR THAT YOU
14
UNDERSTAND THAT A YES ANSWER TO THESE QUESTIONS
15
MEANS THAT YOU'RE AGREEING TO THESE LONG SUMMARIES
16
OF THE STUDIES
17
THE WITNESS
WELL I WOULDN'T AGREE
18
WITH THE WORDING OF THE LAST STATEMENT THAT YOU
19
MADE BUT I AM AWARE OF DR MEREWETHER'S WORK AND
20
THE ASSOCIATION OF EXPOSURE TO ASBESTOS IN THE AIR
21
AND THE OCCURRENCE OF LUNG CANCER AND SOME KIND OF
22
A QUANTITATIVE RELATIONSHIP OF CONCENTRATIONS IN
23 THE AIR AND DURATION OF EXPOSURE
24
BY MR JACOBY
25
Q.
AND EXCUSE ME WERE YOU AWARE OF ONE OF DR
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
29
MEREWETHER'S CONCLUSIONS THAT LESSER EXPOSURE OVER
A LONGER PERIOD OF TIME IS CAPABLE OF CAUSING
DISEASE
A.
I THINK HE SAID HE DIDN'T KNOW AT THAT TIME
Q.
OKAY
A.
THAT'S MY RECOLLECTION OF IT
Q.
ALL RIGHT
AND SMITH
DID YOU EVER HEAR OF LYNCH AND
A.
GIVE ME THE FIRST NAMES
10
Q.
JOE AND TED
I DON'T KNOW
I REALLY DON'T
1
KNOW
WE'LL HAVE TO LOOK
AND NOT TO PLAY GAMES
12
WITH YOU I'M TAKING NAMES FROM ATTACHMENTS THAT
13
YOU HAVE SENT TO OTHER PEOPLE WHERE THESE STUDIES
14
ARE INCLUDED
15
A.
IS THAT SO
16
Q.
YEAH
AND WE'LL GO OVER THEM AGAIN
17
A.
I DON'T REMEMBER EVERYTHING
18
Q.
YEAH
WELL THEY DID A STUDY NOT A STUDY
19
- IN 1935 THEY WROTE A CASE REPORT THAT THEY
20
FOUND TWO INCIDENCES OF LUNG CANCER WITH ASBESTOS
21
WORKERS AND FELT THERE WAS AN ASSOCIATION
22
A.
THE REASON I ASK FOR THE FIRST NAME IS THAT
23
LATER I BECAME ACQUAINTED WITH JEREMIAH LYNCH
24 25
I BELIEVE IT IS JEREMIAH
A.
HE DID EXTENSIVE WORK IN ASBESTOS BUT I
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
THINK HIS WORK WAS MUCH LATER THAN THAT
Q.
NO THEY'RE NOT THE SAME INDIVIDUAL
A.
NO
Q.
ALL RIGHT
WITHOUT BELABORING THE POINT
YOU WERE AS EVIDENCED BY YOUR TESTIMONY THIS
MORNING YOU WERE AWARE GENERALLY OF WHAT WAS
HAPPENING IN THE LITERATURE AND THE STUDIES AND SO
ON AND SO FORTH IS THAT CORRECT
A.
YES
10
Q.
ALL RIGHT
NOW I'D LIKE TO HAVE YOU LOOK
11
AT WHAT WE MARKED MR MORGAN AS P MORGAN
12
OKAY
13
A.
OH I SEE
I'D LIKE TO GET A DRINK OF
14
WATER
15
16
MR JACOBY
OKAY
FINE
BRIEF RECESS
17 18 19 20 21
BY MR JACOBY
Q.
BEFORE WE GET TO THAT I WANTED TO COMPLETE
ANOTHER THOUGHT
YOU SAID YOU HEARD ABOUT DR
STOPPS TRIP TO THE NEW YORK ACADEMY CONFERENCES
AND SO ON
DID HE EVER TALK TO YOU DIRECTLY ABOUT
22
IT
23 24 25
A.
I DON'T REMEMBER
Q.
WHAT DID YOU HEAR ABOUT THE TRIP AT THESE
CONFERENCES OR MEETINGS THAT YOU ATTENDED
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN
~
-
JACOBY
31
A.
WELL I HEARD A SUMMARY OF THE PROCEEDINGS
THAT HAD BEEN DISCUSSED THE RECORDING OF THE
NUMBER OF CASES OF DISEASES INCLUDED AT THAT TIME
SOME LUNG CANCER
Q.
NOW LOOKING AT THIS DOCUMENT SIR I DIRECT
YOU - THIS IS A LETTER THAT APPARENTLY WAS SENT
FROM DR STOPPS TO A J.R. MC CLEAN IN THE MAYDOWN
WORKS IN LONDONDERRY IS THAT CORRECT
A.
YES
10
Q.
11
A.
YOU ARE NOTED AS A CARBON COPY RECIPIENT
YES
12
Q.
IN THE SECOND PARAGRAPH SIR IF I CAN
13
DIRECT YOUR ATTENTION THERE WHERE IT SAYS THERE
14
ARE MANY FACETS TO THIS SUBJECT BUT THE TWO MOST
IMPORTANT ARE THE QUESTIONS WHAT ARE THE RISKS TO
16
MEN WHO ARE EXPOSED TO ASBESTOS PRIOR TO THE
17
RECOGNITION OF THE POSSIBLE RISK OF CANCER
18
NOW WAS THERE A RECOGNITION SIR AS FAR AS
19
YOU WERE CONCERNED THAT PEOPLE EXPOSED TO
20
ASBESTOS HAD A RISK OF GETTING CANCER OF THE LUNG
21
A.
MY RECOLLECTION IS THAT THE RISK WAS TO
GETTING ASBESTOSIS
AND THE POSSIBILITY OF
23
GETTING LUNG CANCER BECAUSE OF ASBESTOS INHALATION
24 HAD SIMPLY NOT YET BEEN ESTABLISHED
25
Q.
OKAY
BUT YOU WERE AWARE THAT THERE WAS
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
32
DISCUSSIONS THAT THERE MAY BE A CAUSAL
RELATIONSHIP
A.
I'VE MENTIONED EARLIER THAT THERE WERE
ISOLATED REPORTS OF CASES LIMIT OF IT
THAT WAS ABOUT THE
Q.
AND
--
A.
SOME OF THEM WERE QUITE EARLY BUT THEY DID
NOT STIR UP A LOT OF CONCERN BECAUSE LUNG CANCER
OCCURS IN ALL LEVELS OF THE POPULATION
AND IF A
10
PERSON WHO HAD ACQUIRED ASBESTOSIS ALSO HAD LUNG
11
CANCER IT DID NOT IMMEDIATELY ESTABLISH A
12
RELATIONSHIP
13
Q.
I UNDERSTAND
MY QUESTION WAS JUST THAT THE
14
RELATIONSHIP WAS BEING DISCUSSED IN THE MEDICAL
15
AND SCIENTIFIC COMMUNITY
16
A.
IT PROBABLY WAS YES
17
Q.
SIR RIGHT AFTER WHAT I JUST READ TO YOU
18
AGAIN IN THE SECOND PARAGRAPH APPARENTLY DR
19
STOPPS SECOND CONCERN IS WHAT STEPS SHOULD BE
20
TAKEN TO PROTECT THE MEN WHO ARE NOW POTENTIALLY
21
EXPOSED TO ASBESTOS
IN 23
1965 WHEN THIS LETTE WARS
24
EMPLOYEES WERE EXPOSED TO ASBESTOS AND THE THE
25
POTENTIAL FOR DISEASE BASED UPON EVERYTHING THAT
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
33
TH ERA E THAT T PIME ?
A.
SAY THAT YES
THE CAUSES OF OCCUPATIONAL DISEASE
I HAD A CONCERN THAT WAS MY LINE OF WORK MY DUTIES DID NOT REQUIRE THAT I IMMEDIATELY
RESPOND TO SOMETHING LIKE THIS
Q.
DID YOU HAVE ANY IDEA AT THAT TIME SIR HOW
MUCH ASBESTOS WAS REING USED BY DUPONT
A.
NO
10
Q.
DR STOPPS SAYS IN THE FIRST PARAGRAPH AS
11
YOU CORRECTLY SUSPECT A CONSIDERABLE AMOUNT OF
12
ASBESTOS IS USED IN DUPONT PLANTS LARGELY IN THE
13
FORM OF PIPE LAGGING
DO YOU SEE THAT
14
A.
15
2
YES I SEE THAT WHERE YOU AWARE OF IT AT THAT TIME THAT
16
DUPONT WAS USING A LARGE AMOUNT
17
A.
I ASSUME THAT WAS CORRECT IF HE SAID IT WAS
18
Q.
19
A.
THAT WASN'T REVELATORY AS FAR AS --~ I HAD NOT MADE AN INVESTIGATION TO DETERMINE
20 21 22
HOW MUCH
NO IT WAS NOT A SURPRISE
Q.
NOW SIR ON THE LAST PARAGRAPH OF THIS
FIRST PAGE DR STOPPS TALKS ABOUT A STUDY THAT
23
WILL BE DONE OF MEDICAL RECORDS
DO YOU SEE THAT
24
SIR
25
A.
IN LINE WITH THEIR SUGGESTION WE HOPE TO
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
34
START A STUDY OF THE HEALTH AND OF PIPE COVERERS
COMPARED WITH THE HEALTH OF ASBESTOS EXSPOSED
GROUP WITHIN THE NEXT FEW WEEKS
Q.
WERE YOU AWARE THAT DR STOPPS IN 1965 HAD
REQUESTED THAT RECORDS OF FIFTY PIPE COVERERS
BE PULLED MEDICAL RECORDS FOR REVIEW
A.
I HAD NO KNOWLEDGE OF HIS STEPS THAT HE TOOK
IN HIS INVESTIGATION
IT WAS INDEPENDENT OF MY
WORK AT THAT TIME
10 Q.
AND YOU WERE NOT INVOLVED DIRECTLY WITH
1
ASBESTOS AT THIS TIME
12
A.
AT THAT TIME NO
13
Q.
DO YOU KNOW SIR WHY YOU WOULD HAVE
14
RECEIVED A COPY OF THIS LETTER
15
A.
IN MY PREVIOUS ANSWERS TO YOU I'VE INDICATED
16
TO YOU THAT I HAD CONSIDERABLE EXPERIENCE IN THE
17
OCCUPATIONAL DISEASE ASBESTOSIS AND ITS
18
PREVENTION
19
Q.
20
A.
RIGHT AND STOPPS RECOGNIZED THAT AND SOMETIMES
21
DISCUSSED THINGS AND INFORMED ME OF WHAT WAS GOING
22
ON
23
Q.
WHAT DID HE INFORM YOU
WHAT DID HE TELL
24
YOU
25
A.
THIS LETTER FOR EXAMPLE IS AN EXAMPLE
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
Q.
THIS IS THE WAY HE WOULD INFORM YOU HE
WOULD COPY YOU ON A LETTER
A.
YES
Q.
SO WITHOUT BELABORING BELABORING POINT
DISCUSSED WITH STOPPS ATPOINT YOUR
KNOWLEDGE OF ASBESTOS IN 1965 AND WHAT IT COULD
CAUSE AND SO ON AND SO FORTIHS THAT CORRECT
A.
YES
Q.
YOU ALSO KNEW THATPEOPLE AT
10
DUPONT WHO WERE EXPOSED DIRECTLY TOASBESTOST
11
A.
YES
12
Q.
NOW IF YOU'LL TURN THE PAGE SIR THE FIRST
13
PARAGRAPH OF THE SECOND PAGE TALKS ABOUT DUST
14
CONTROL IS THAT CORRECT
15
A.
LET ME SEE
16
Q.
TAKE WHATEVER TIME YOU NEED TO READ IT
17
OVER
18 19 20 21
A.
THIS IS THE TYPE OF THING THAT STOPPS MAY
HAVE DISCUSSED WITH ME BECAUSE THESE ARE SOME OF
THE STEPS THAT WE TOOK TO CONTROL IT IN THE
SHIPYARDS
22
Q.
WOULD I BE CORRECT TO SAY THAT YOUR END OF
23
THINGS AS AN INDUSTRIAL HYGIENIST WAS DUST
24
CONTROL
25
A.
IT WOULD INCLUDE DUST CONTROL YES.
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
36
Q.
YOU WEREN'T INVOLVED IN THE MEDICAL PART OF
THINGS --
A.
NO
Q.
-- BUT THE INDUSTRIAL HYGIENE PART OF
THINGS
A.
CORRECT
Q.
TO MAKE THIS PLACE SAFE WOULD THAT BE
CORRECT SIR
A.
YES
10
Q.
AND YOU RECOGNIZED -- DID YOU AGREE WITH DR
11
STOPPS STATEMENT THAT THE CONTROL OF THE DISEASE
12
LIES IN THE CONTROL OF DUST
13
A.
I THINK I INDICATED THAT WHEN I TOLD YOU
14
THAT HE PROBABLY DISCUSSED THIS WITH ME YES
15
Q.
NOW HE TALKS THE LAST COUPLE OF SENTENCES
16
ON THAT PARAGRAPH HE TALKS ABOUT REDUCING THE
17
DUST EXPOSURE OF WORKERS WITH ASBESTOS AND HE
18
TALKS ABOUT A COUPLE OF WAYS THAT CAN BE DONE
19 20
ONE THAT SUITABLE EXHAUST VENTILATING
SYSTEMS WHERE ASBESTOS IS HANDLED AND ANOTHER IS
21
THE USE OF DUST RESPIRATORS WHERE EXHAUST
22
VENTILATION IS NOT PRACTICAL AS IS OFTEN THE CASE
23
IN HANDLING INSULATION IN THE PLANT
24
DO YOU SEE IT SIR
A.
YES
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
37 MORGAN - JACOBY
Q.
WERE PEOPLE AT DUPONT IN 1965 WHO WORKED
WITH ASBESTOS ON A DAILY BASIS TO YOUR KNOWLEDGE
SIR GIVEN RESPIRATORS TO WEAR
A.
I WAS NOT DIRECTLY IN TOUCH WITH WHAT
PREVENTIVE MEASURES WERE BEING USED IN VARIOUS
PLANTS IN DUPONT
10 1 12 13 14
Q. I'M NOT TRYING TO MAKE YOU CULPABLE SIR I
JUST WANT TO KNOW WHAT YOU KNEW
A. I'M JUST TRYING TO TELL YOU THE LIMIT OF MY
KNOWLEDGE
IF I WERE TO MAKE A PLANT SURVEY
SPECIFICALLY TO DETERMINE WHAT PROTECTION WAS
BEING AFFORDED AGAINST DUST INHALATION I WOULD
HAVE INQUIRED INTO THOSE THINGS
IT HAD NOT
FALLEN INTO MY -~
15 16 17 18 19 20 21 22 23
Q.
AT THE PRESENT TIME LET'S LOOK AT IT IN
RETROSPECT FOR A MINUTE
LET'S ASSUME THERE'S A
MAN NAMED BILL MILLISON WHO STARTED HIS EMPLOY AT
THE CHAMBERS WORKS IN 1951 AS AN INSULATOR AND
WORKED WITH ASBESTOS ON A DAILY BASIS
IN YOUR
OPINION SIR IN 1965 BASED UPON WHAT YOU KNEW AND BASED UPON THIS DOCUMENT SHOULD HE HAVE BEEN
WEARING A RESPIRATOR OR GIVEN A RESPIRATOR WHEN HE WORKED WITH ASBESTOS DUST
24 OBJECTION
MS ALITO
I HAVE TO OBJECT TO THE
MASTROIANNI & FORMAROLI INC
Professionals Serving Professionals
MORGAN 40 JACOBY
38
QUESTION ON THE GROUNDS THAT IT ASKS MR MORGAN
FOR AN EXPERT OPINION
HE'S BEEN PRODUCED HERE
TODAY NOT AS AN EXPERT WITNESS BUT AS A FACT
WITNESS
IT'S A HYPOTHETICAL QUESTION CALLING FOR
AN EXPERT OPINION AND ASSUMING FACTS WITH RESPECT
TO MR MILLISON WHO'S A REAL PERSON WHICH FACTS
HAVEN'T YET BEEN PROVED
NOW IF YOU CAN ANSWER THE QUESTION AS IT'S STATED YOU CAN
10 11 12 13 14 15 16 17
THE WITNESS
MY COMMENT WOULD BE
THAT IN ORDER TO ANSWER THAT QUESTION I WOULD HAVE
HAD TO MAKE AN INVESTIGATION OF HIS EMPLOYMENT
THE KIND OF TASKS THAT HE WAS ASSIGNED WHAT MEANS
OF PROTECTION WAS AFFORDED TO HIM WHETHER HE
COULD HAVE BEEN FULLY PROTECTED BY OTHER MEANS
OTHER THAN RESPIRATORS ALL THOSE THINGS
I DON'T
KNOW
SO I CAN'T ANSWER THAT
18
BY MR JACOBY
19
2
BASED UPON YOUR KNOWLEDGE IN 1965 AND YOUR
20 POSITION AS AN INDUSTRIAL HYGIENIST SHOULD HE
21
HAVE BEEN PROTECTED
22 OBJECTION
23
MS ALITO
SAME OBJECTION
24
THE WITNESS
YEAH I THINK I'D
25
RATHER NOT COMMENT ON THAT
MASTROIANNI & FORMAROLI INC
Professionals Serving Professionals
MORGAN - JACOBY
39
BY MR JACOBY
2
I APPRECIATE YOU MAY NOT RATHER COMMENT ON
IT BUT MY QUESTION TO YOU SIR IS SHOULD HE HAVE
BEEN PROTECTED
OBJECTION
MS ALITO
CAN YOU CLARIFY -- I HAVE
TO ADD AN ADDITIONAL OBJECTION TO THAT QUESTION
SHOULD HE HAVE BEEN PROTECTED PROTECTED IN WHAT
WAY
MR JACOBY
FROM ASBESTOS DUST
THE WITNESS
I'VE INDICATED EARLIER
THAT ACCORDING TO MY KNOWLEDGE THAT THERE WAS A RISK OF GETTING ASBESTOSIS SERIOUS LUNG DISEASE
IF ONE WORKED IN DUST CONTAINING ASBESTOS WITHOUT
ADEQUATE PROTECTION
THE SAME WOULD APPLY TO THE
16
MAN YOU JUST NAMED AS TO ANY OTHER WORKER
17
BY MR JACOBY
18 19 20
2
I SEE
SO OKAY LET'S NOT BELABOR IT
IN POINT OF FACT SIR DO YOU HAVE PERSONAL
KNOWLEDGE AS TO WHEN RESPIRATORS WERE GIVEN OUT TO
21
PEOPLE THAT WORKED WITH OR AROUND ASBESTOS DUST
22
A.
IN THE DUPONT COMPANY
23
Q.
YES SIR
24
A
25
Q.
NO I DO NOT NOW I'D LIKE TO REFER YOUR ATTENTION TO P
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
40
MORGAN AND IT'S A DOCUMENT DATED NOVEMBER THE
7TH OF 1966
DO YOU SEE THAT SIR
A
YES
I HAVE THAT HERE
FROM DARBY TO --
Q.
WHO WAS R.A. DARBY
A.
I DON'T REMEMBER HIM SPECIFICALLY
HIS
ADDRESS IS GIVEN AS THE EXPERIMENT STATION
FROM
TIME TO TIME I DEALT WITH SEVERAL PEOPLE THERE
Q.
NOW SIR FROM THE TIME OF THE FIRST
DOCUMENT THAT YOU RECEIVED NOVEMBER THE 29TH
10
1965 UNTIL NOVEMBER THE 7TH 1966 APPROXIMATELY
11
A YEAR ELAPSED IS THAT CORRECT A LITTLE LESS
12
THAN A YEAR A COUPLE WEEKS LESS THAN A YEAR
13
A.
YES
14
Q.
HAD YOU INVOLVED YOURSELF DURING THIS
YEAR PERIOD OF TIME NOVEMBER '65 THROUGH
16
NOVEMBER '66 WITH THE CONSEQUENCES OF EXPOSURE TO
17
ASBESTOS DUST
18 19 20 21 22 23 24 25
A.
I HAVE DIFFICULTY RECALLING THE EXTENT OF MY
INVOLVEMENT IT WAS IN LINE WITH MY DUTIES AT
HASKELL LABORATORY TO RECEIVE INQUIRIES FROM
PEOPLE THROUGHOUT THE COMPANY IN DIFFERENT
DEPARTMENTS AND PLANTS
SOME OF THEM - WELL
THEY NEARLY ALL DEALT WITH POTENTIAL HEALTH
PROBLEMS AND ASBESTOS COULD HAVE BEEN AMONG THOSE THAT I WAS HANDLING
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
1
Q.
ALL RIGHT
SIR IF YOU'LL TAKE A MINUTE AND
REVIEW THIS DOCUMENT
A.
I'VE FINISH READING IT
Q.
NOW SIR AM I CORRECT THAT THIS DOCUMENT
ADDRESSED TO YOU SPEAKS OF A VISIT THAT YOU MADE
ON NOVEMBER 3RD IS THAT CORRECT
A.
IT SPEAKS OF IT
UNTIL I READ THIS I HAD NO
RECOLLECTION OF THAT VISIT
Q.
ALL RIGHT
NOW IT'S ENTITLED TOXICITY OF
10
ASBESTOS IS THAT CORRECT
11
A.
YES
12
Q.
WHAT DOES TOXICITY MEAN
13
A.
WELL THAT'S A TITLE CHOSEN BY MR DARBY AND
14
IT MEANS THE EXERTION OF A TOXIC EFFECT
15
Q.
16
A.
OKAY HARMFUL
17 Q
18
A.
POISONOUS TO THE BODY
IT'S ANOTHER WAY OF STATING IT
19
Q.
NOW IN THIS DISCUSSION SIR HE THANKS YOU
20
FOR ATTENDING AND SO ON
AND CAN YOU RECALL AS
21
YOU SIT HERE TODAY WHAT YOU TALKED ABOUT AT THIS
22
VISIT
23
A.
HE DISCUSSED A PROCESS THAT WAS UNDER
24
CONSIDERATION FOR EXTRUDING SOME MATERIAL
I
ASSUME ALTHOUGH I DON'T HAVE ANY DEFINITE
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
RECOLLECTION THAT IT WAS SOME FORM OF
PLASTIC MATERIAL INTO WHICH ASBESTOS HAD
BEEN MIXED FOR SOME PURPOSE OR OTHER
Q.
A.
I SEE AND MY OPINION WAS ASKED ON THE POTENTIAL
HAZARDS IN THAT OPERATION
Q.
IF YOU KNOW WHY WAS IT YOU THAT WENT DOWN
TO SPEAK TO THEM
-- MR DARBY'S GROUP
A.
BECAUSE I WAS AN INDUSTRIAL HYGIENIST ON THE
10
STAFF OF HASKELL LABORATORY AND THAT'S WHERE THEY
11
WOULD TURN TO FOR ADVICE ON A MATTER LIKE THIS
12
Q.
ON A MATTER LIKE ASBESTOS WHEN YOU SAY A
13
MATTER LIKE THIS WHAT DO YOU MEAN
14
A.
TOXIC EFFECTS OF CHEMICALS
15
2
AGENTS
16
A.
YEAH ANY AGENTS
17
Q.
TO YOUR KNOWLEDGE SIR AT THIS TIME WHEN
18
YOU WENT DOWN ON NOVEMBER 3RD 1966 AND GAVE THIS
19
TALK WERE THERE OTHERS IN THE DUPONT COMPANY MORE
20
INVOLVED WITH THE ASBESTOS SITUATION
21
A.
I DON'T KNOW
22
Q.
WOULD DR STOPPS HAVE BEEN MORE INVOLVED
23
WITH THE ASBESTOS SITUATION IF YOU KNOW
24
A.
MY RECOLLECTION IS THAT HE WAS
WHEN HE
25
CAME BACK FROM THE NEW YORK CONFERENCE HE BEGAN TO
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN ~ JACOBY
43
DEVOTE LOTS OF TIME TO IT
2
ALL RIGHT
OBJECTION
MS ALITO
I HAVE TO BELATEDLY
OBJECT TO THE LAST QUESTION CHARACTERIZING MR
MORGAN'S VISIT AS A TALK
MR JACOBY
I AGREE
WHATEVER YOU
WANT TO CALL IT
YOU CAN CALL IT VISIT
THE WITNESS
DISCUSSION
10
BY MR JACOBY
11
Q.
INTERFACE IS THAT WHAT THEY SAY TODAY
12
SIR LOOKING AT PARAGRAPH THREE OF THIS
13
MEMORANDUM WHERE IT BEGINS IN VIEW OF YOUR
14
COMMENTS DO YOU SEE THAT SIR
15
A.
YES I SEE IT
16
2
IT SAYS WE WILL NOT PURCHASE OR WORK WITH
17
CROCIDOLITE A FORM OF ASBESTOS PENDING FURTHER
18
CLASSIFICATION OF THIS MATERIAL
19
DO YOU RECALL DISCUSSING CROCIDOLITE A FORM
20
OF ASBESTOS
21
A.
I DON'T RECALL DISCUSSING IT BUT SINCE HE
22
SAYS WHAT HE DOES IN THIS PARAGRAPH I ASSUME THAT
23
WE DID DISCUSS IT
24
Q.
25
IT
CAN YOU REMEMBER WHAT YOU DISCUSSED ABOUT
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
44
A. BUT
I THE
DON'T EVEN CONFERENCE
REMEMBER WHAT HE LOOKED LIKE
IN NEW YORK DID RAISE SOME
WARNINGS ABOUT CROCIDOLITE
THAT WAS THE FIRST
THAT I KNEW OF ANY PECULIAR PROPERTIES ASCRIBABLE
TO CROCIDOLITE
PERHAPS THAT WAS A BASIS OF SOME
DISCUSSION
Q.
CROCIDOLITE IS A FORM OF
ASBESTOS
CORRECT
IS THAT
C
YES
10
2
11
A.
A TYPE OF FIBER YES
12 13 14 15
Q. AND HAD YOU SEEN IN 1966 ANY STUDIES THAT
WERE DONE THAT WOULD SUGGEST A CONNECTION BETWEEN
CROCIDOLITE ASBESTOS AND MESOTHELIOMA
A.
I DON'T RECALL THAT I HAD
16 17 18 19 20
Q. THE REASON I SAY THAT TO YOU AGAIN NOT TO
TRY TO
DECEIVE
YOU
BUT
YOU REFER
TO THAT STUDY ON
SEVERAL OCCASIONS ON YOUR OTHER DOCUMENTS
A. IS THAT SO I'D SIMPLY SAY I DON'T
REMEMBER
21 22 23 24 25
Q. ALL RIGHT THAT'S ACCEPTABLE YOU DON'T
REMEMBER AS YOU SIT HERE TODAY WHETHER OR NOT YOU
SUGGESTED THAT CROCIDOLITE NOT BE USED
A.
.
THIS MENTION IN HIS LETTER OF DISCUSSION OF
CROCIDOLITE IT IS NEWS TO ME
I DIDN'T HAVE ANY
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
45
DEFINITE RECOLLECTION OF IT UNTIL I READ THAT
|
Q.
TO YOUR KNOWLEDGE SIR DID DUPONT STOP
PURCHASING CROCIDOLITE ASBESTOS PRODUCTS
A.
I DON'T KNOW
Q.
TO YOUR KNOWLEDGE DID YOU EVER RECOMMEND
THAT CROCIDOLITE ASBESTOS PRODUCTS NO LONGER BE
USED
A.
I DON'T REMEMBER
Q.
AND YOU DON'T REMEMBER WHETHER OR NOT YOU
10
TOLD MR DARBY TO STOP USING CROCIDOLITE ASBESTOS
il
PRODUCTS
12
OBJECTION
MS ALITO
OBJECTION
ASKED AND
ANSWERED
BY MR JACOBY
Q. 17
YOU DON'T HAVE TO ANSWER THAT MR MORGAN
NOW ON PARAGRAPH FOUR SIR TO YOUR
18
KNOWLEDGE WAS ANY EMPLOYEE OF DUPONT TOLD THAT
19
THERE WAS A SUSPICION THAT ONE TYPE OF ASBESTOS
20
FIBER WAS MORE POTENTIALLY HARMFUL THAN OTHER
21
TYPES OF ASBESTOS FIBER
22
A.
THEY VERY DEFINITELY WERE
I CAN'T TELL YOU
23
THE DATE ON WHICH IT WAS DONE OR TO WHOM IT WAS
24
DONE
25
Q.
CAN YOU GIVE ME A ROUGH APPROXIMATION OF
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
46
TIME
|
A.
I KNOW FOR A FACT THAT IN 1970 A
COMPANY CONFERENCE WAS HELD FOR THE PURPOSE
OF DISSEMINATING INFORMATION
Q.
A.
WE'LL GET THERE
ALL RIGHT
AND CROCIDOLITE WAS MENTIONED
Q.
ALL RIGHT
PRIOR BACK IN '66 --
A.
I DON'T KNOW
Q.
YOU DON'T KNOW WHETHER OR NOT ANY EMPLOYEE
10
OF DUPONT WAS TOLD THAT THERE WAS A SUSPICION
11
AMONG HIGHER LET'S SAY THAT IT MAY BE MORE
12
DANGEROUS THAN OTHER FIBERS
13
A.
IN ANSWERING THAT I'M NOT GOING TO SAY I
14
DON'T REMEMBER
I'M GOING TO SAY I HAD NO REASON
15
TO KNOW
I WAS NOT IN DIRECT CONTACT WITH THE
16
PEOPLE WHO WERE WORKING WITH ASBESTOS
17
Q.
SHOULD THEY HAVE BEEN TOLD
18
OBJECTION
19
MS ALITO
OBJECTION ON THE GROUNDS
20
THAT IT CALLS FOR AN EXPERT OPINION
21 22 22
MR JACOBY
WELL I DON'T THINK THAT
IT REQUIRES AN EXPERT OPINION
THE MAN HAD A HIGH
23
JOB CLASSIFICATION A HIGH JOB TITLE WITH DUPONT
24
AND I'M JUST ASKING HIM IF THEY SHOULD HAVE BEEN
25
TOLD
IT'S NOT SUBJECT TO AN EXPERT WITNESS --
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
47
MS ALITO
I MAINTAIN MY OBJECTION
AND I ALSO OBJECT ON THE GROUND THAT IT'S NOT
SPECIFIC ENOUGH
YOU'RE USING THE TERM
EMPLOYEE
THERE ARE THOUSANDS AND THOUSANDS OF
DUPONT EMPLOYEES
MR JACOBY
I'LL REPHRASE THE
QUESTION BY MR JACOBY
Q.
IF AN INDIVIDUAL WERE WORKING WITH ASBESTOS
10
AS AN INSULATOR ON A DAILY BASIS IN 1966 BASED
11
UPON YOUR DISCUSSIONS WITH MR DARBY AND
12
EVERYTHING ELSE THAT YOU KNEW EVERYTHING ELSE
13
THAT WAS IN YOUR HEAD IN 1966 WOULD YOU HAVE TOLD
14
THAT MAN THAT HE WAS WORKING WITH A DANGEROUS
15
SUBSTANCE
16
OBJECTION
17
MS ALITO
SAME OBJECTION BUT YOU
18
CAN ANSWER THE QUESTION MR MORGAN
19
THE WITNESS
I DON'T RECALL THE DATE
20
AT WHICH I BECAME CONVINCED THAT CROCIDOLITE WAS
21
INDEED A DISTINCT FORM OF ASBESTOS WHICH WAS MORE
22
DANGEROUS THAN OTHER FORMS
23
BY MR JACOBY
24
Q.
I DON'T MEAN TO ARGUE WITH YOU SIR BUT I
25
HAVE THIS DOCUMENT AND I WANT TO GET TO THE BOTTOM
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
48
OF IT
THIS MAN IS SAYING TO YOU BASED ON YOUR
COMMENTS OKAY IN VIEW OF YOUR COMMENTS WE HAD
NOT PURCHASED OR WORKED WITH CROCIDOLITE
AND I
AM ASSUMING THAT YOU MADE SOME COMMENT SAYING
DON'T PURCHASE OR WORK WITH CROCIDOLITE OR
SOMETHING HAVING TO DO WITH CROCIDOLITE
AND ALL
I WANT TO KNOW IS WHAT YOUR FEELINGS ABOUT
CROCIDOLITE WERE THAT PROMPTED THIS MAN TO SAY THIS TO YOU
10
OBJECTION
11
MS ALITO
OBJECTION ON THE GROUND
12
THAT MR MORGAN HAS ALREADY TESTIFIED THAT HE HAS
13
NO INDEPENDENT RECOLLECTION OF WHAT HAPPENED AT
14
THE TIME THAT THIS DOCUMENT WAS WRITTEN
HE
15
HASN'T DISPUTED THE AUTHENTICITY OF THE DOCUMENT
16
HE'S STATED THAT HE DOESN'T RECALL SPECIFICALLY
17
AND INDEPENDENTLY FROM THE DOCUMENT WHAT WENT ON
18
BY MR JACOBY
19
e
IS THAT CORRECT SIR
20
A.
THAT'S CORRECT
AND I MIGHT ADD THAT IN
21
DISCUSSING POTENTIAL HEALTH RISKS WITH DUPONT
22
23
24
PEOPLE WHO CAME TO US FOR ADVICE WE WOULD FREQUENTLY TAKE THE CONSERVATIVE APPROACH AND AT
THAT TIME IN 1966 IN MY MIND THAT MAY HAVE BEEN --
25
THERE ARE SUSPICIONS ABOUT CROCIDOLITE WE BETTER
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
49
BE CAREFUL IN ORDER TO BE COMPLETELY SAFE
OR I
MAY HAVE TAKEN SOME OTHER ATTITUDE THAT I'M
THOROUGHLY CONVINCED
I DON'T RECALL THE TIMING
Q.
ALL RIGHT
SO LET'S GO ON THE WORDS
WHEN
HE SAID TO YOU WE WILL NOT PURCHASE OR WORK WITH
THE CROCIDOLITE FORM OF ASBESTOS PENDING FURTHER
CLASSIFICATION OF THIS MATERIAL DID YOU WRITE HIM
BACK ANYTHING SAYING THAT'S TOO STRONG THAT'S NOT
WHEN I SAID YOU MISUNDERSTOOD OR ANYTHING LIKE
10
THAT
11
A.
I WOULD NOT HAVE DONE THAT
12
Q.
YOU COULD LIVE WITH HIS STATEMENT TO YOU WE
13
WILL NOT PURCHASE OR WORK WITH THE CROCIDOLITE
14
FORM
15
A.
YES
16
Q.
NOW SIR IN PARAGRAPH FOUR IT SAYS -- LET
17
ME GIVE YOU A CHANCE TO LOOK IT OVER
18
A.
I SEE IT
19
e
HASKELL LABORATORY WILL KEEP US INFORMED OF
20
FUTURE DEVELOPMENTS IN THEIR STUDY OF THE
21
TOXICOLOGY OF ASBESTOS THE FIRST SENTENCE THERE
22
IN FACT WAS HASKELL LABORATORY CONDUCTING
23
STUDIES ON THE TOXICOLOGY OF ASBESTOS
24 25
A.
I CAN'T RECALL WHAT SPECIFICALLY WAS BEING
DONE AT THAT DATE
STOPPS DIDN'T SUDDENLY LOSE
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - - JACOBY
ALL INTEREST IN IT
I KNOW THAT
BUT I DON'T
KNOW THE EXTENT OF THE PLANS THAT WERE GOING ON
DEVELOPING THE STUDY
50
2
ALL RIGHT
NOW SIR THE NEXT TO THE LAST
PARAGRAPH ON PAGE TWO IN RECALLING OUR
DISCUSSION -
A.
YES
10 11
12
Q.
NOW THAT'S A DISCUSSION BASICALLY SIR
WOULD YOU AGREE WITH ME OF THESE TYPES OF
ASBESTOS DISEASE ASBESTOSIS CANCER OF THE LUNG
AND MESOTHELIOMA
A.
YES
13
Q.
NOW WHEN MR DARBY SAYS TO YOU ON NOVEMBER
14
THE 7TH 1966 IN RECALLING OUR DISCUSSION I
15 16 17
BELIEVE YOU MENTIONED -- AND I'M NOT GOING TO READ
THE REST OF IT INTO THE RECORD IT SAYS WHAT IT
SAYS
DID YOU TELL HIM THESE THINGS
18 19
A.
I ASSUME FROM WHAT HE HAS WRITTEN HERE THAT
WE DID MENTION IN THE COURSE OF OUR DISCUSSING
20
THESE THINGS
21 22 23
Q.
DID YOU MENTION IN THE COURSE OF YOUR
DISCUSSION THAT ASBESTOSIS CAN LEAD TO CANCER IN LOWER LOBES OF THE LUNG
24
A.
I DON'T KNOW THAT I DID
IT WAS A
25
POSSIBILITY THAT WAS RECOGNIZED AT THAT TIME
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
51
2
AND DO YOU RECALL IF YOU DISCUSSED THE
DISEASE MESOTHELIOMA
A.
I HAVE NO DISTINCT RECOLLECTION THAT I DID
Q.
50 IN NOVEMBER OF 1966 ON THE 3RD OF
NOVEMBER YOU WENT TO MR DARBY WHEREVER HE WAS
YOU HAD A DISCUSSION WITH HIM AND AM I CORRECT
THAT YOU DON'T RECALL IF ALL OF THE THINGS THAT
WE'VE NOW DISCUSSED IN THIS MEMORANDUM WERE IN
FACT DISCUSSED
10
A.
I DON'T LIKE TO ANSWER THAT QUESTION IN THE
11
FORM IN WHICH YOU'VE GIVEN IT TO ME
I DON'T
12
DOUBT THAT MR DARBY GAVE A TRUE RECOLLECTION OF
13
-- A TRUE DESCRIPTION ACCORDING TO HIS
14
RECOLLECTION OF WHAT WAS DISCUSSED
I WOULDN'T
15
QUIBBLE WITH HIS WORDS
16
Q.
BUT IN TERMS OF AN INDEPENDENT RECOLLECTION
17
TODAY REALLY WHAT I'M GETTING AT IS CHAPTER AND
18
VERSE
DO YOU REMEMBER THE ROOM YOU WERE IN DO
19
YOU REMEMBER THE TIME OF DAY DO YOU REMEMBER
20
WHERE YOU WERE SITTING
I'M TRYING TO FIND OUT
WHAT YOU REMEMBER
A.
I DO NOT REMEMBER THOSE THINGS
Q.
SIR IS THIS SECOND NEXT TO THE LAST
PARAGRAPH ON PAGE TWO WOULD THAT BE AN ACCURATE
REFLECTION OF WHAT YOU BELIEVED ASBESTOS COULD DO
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
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52
IN A.
1966
|
THAT
DOES
NOT
ESTABLISH
ANY
CERTAINTY
IN
MY
MIND ABOUT ANY OF THESE EFFECTS OCCURRING
I
SIMPLY ASSUMED FROM READING IT THAT WE DID DISCUSS
THESE THINGS
THEY CERTAINLY HAD COME UP IN TERMS
OF THAT NEW YORK CONFERENCE AND HAD BEEN WIDELY
DISCUSSED ELSEWHERE AFTER THAT
Q.
IT WAS DISCUSSED IN ASSOCIATION WITH
CROCIDOLITE OR WAS IT A SEPARATE IF YOU KNOW IF
10
YOU REMEMBER DISCUSSION
11
A.
I DON'T REMEMBER WHETHER IT WAS SEPARATE
12
Q.
AND AT THIS TIME SIR IN 1966 DO YOU KNOW
13
IN TERMS OF QUANTITY HOW MUCH ASBESTOS WAS BEING
14
PURCHASED BY THE DUPONT COMPANY
15
A.
NO
16
Q.
OKAY
ONWARD
I'D LIKE TO SHOW YOU WHAT'S
17
BEEN MARKED P MORGAN AND IT'S A PAGE
18
DOCUMENT SIR
IT'S DATED JANUARY THE 10TH
19
1968.
IT PURPORTS TO BE FROM DR STOPPS TO A MR
20
KENNETH KEUPER AND YOU ARE NOTED AS A CARBON COPY
21
RECIPIENT
DO YOU SEE THAT
22
A.
YES
23
Q.
DO YOU AGREE WITH HIS STATEMENT SIR IN THE
24
THIRD PARAGRAPH
A.
LET ME READ THAT
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
53
Q.
I'M SORRY
GO AHEAD
READ THE WHOLE
DOCUMENT NOT ONLY THE THIRD PARAGRAPH
A.
I'M FINISHED READING IT
Q.
OKAY
NOW IN THE FIRST PARAGRAPH SIR IT
STATES I WAS PLEASED TO HEAR FROM YOU YESTERDAY
THAT CONSIDERATION IS BEING GIVEN TO MONITORING OF
THE DUST LEVELS AT TWENTY CONSTRUCTION SITES
AROUND THE COUNTRY
DID YOU BELIEVE THAT IT WAS APPROPRIATE AT
10
THAT TIME TO BEGIN DUST MONITORING FOR ASBESTOS
11
DUST
12
A.
I'M NOT FAMILIAR WITH THAT SUGGESTION THAT
13
IT BE DONE AND I CERTAINLY WOULD NOT HAVE OPPOSED
14
IT IF I HAD EVER BEEN ASKED ABOUT IT
15
Q.
FOR HOW LONG IF YOU CAN TELL ME PRIOR TO
16
JANUARY 10TH 1968 WERE YOU OF THE OPINION THAT
17
MONITORING FOR DUST WAS SOMETHING THAT SHOULD HAVE
18
BEEN DONE
19
OBJECTION
20
MS ALITO
I OBJECT TO THE FORM OF
21
THAT QUESTION
HE HASN'T STATED THAT HE BELIEVED
22 23
PRIOR TO '68 THAT THERE SHOULD HAVE BEEN DUST MONITORING
24
MR JACOBY
WELL WE'LL ASK THAT
25 QUESTION FIRST
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
54
BY MR JACOBY
Q.
TN U BELIEVE PRIOR 1968 THERE SHOULD
FORING FOR ASBE DUSS T BT ASEDO URS ON
EVERYTHING THAT YOU KNEW ABOUT ASBESTOS AND
DISEASE
A.
I'M GOING TO ANSWER THAT THIS WAY
IP I HAD
BEEN CALLED UPON AND GIVEN THE ASSIGNMENT OF
MAKING ANINVESOT F AI POG TENA TIALT LY I HAZO ARDN OUS
ASBESTOS MONITORING OF CONCENTRATION
10 WOULD HAVE BEEN ONE THE THINGS THAT I WOULD
11
HAVE RECOMMENDED
2
WHAT ELSE WOULD YOU HAVE RECOMMENDED
13
A.
A LOT WOULD DEPEND UPON THE RESULT OF THE
14
MEASUREMENTS OF DUST CONCENTRATIONS THAT
15
INDUSTRIAL HYGIENE SIR BY THE PURPOSE OF THE
16
MEASUREMENTS IN THOSE DAYS PRIOR TO OSHA WERE TO
17
FIND OUT WHAT THE EXTENT OF THE HAZARD WAS AND
18
WHAT PARTS OF THE OPERATION GAVE RISE TO HAZARDOUS
19
CONCENTRATION OF DUST IN THE AIR
THAT WOULD BE A
20
GUIDELINE THEN TO CONTROL MEASURES IF THE DUST
21
CONCENTRATIONS INDICATED THAT THEY WERE NECESSARY
22 Q.
WHEN YOU SAY THE DUST CONCENTRATION SIR
23
ARE YOU TALKING ABOUT TLV'S
24
A.
WELL AT THAT TIME WE DID HAVE A RECOMMENDED
25
TLV AND THE DUST MEASUREMENTS WOULD HAVE BEEN MADE
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN -- JACOBY
55
WITH THAT IN MIND BUT THAT WOULD NOT HAVE BEEN
THE ONLY CRITERIA
Q.
NOW A TLV SIR IS THAT SPEAKING AS AN
INDUSTRIAL HYGIENIST IS THAT AN ABSOLUTE STANDARD
OR IS THAT MORE ALONG THE LINES OF A PROPOSAL A
GUIDELINE
A.
IT'S NOT AN ABSOLUTE STANDARD
FOR YEARS
THE PREFACE TO THE ANNUAL PUBLICATION OF THE TLV'S
CARRIED THE STATEMENT THAT THESE VALUES ARE NOT
10
INTENDED TO BE SHARP DIVIDING LINES BETWEEN SAFE
11
AND UNSAFE
THAT'S WHY I QUALIFIED MY ANSWER BY
12
SAYING THAT WOULD HAVE BEEN ONE OF THE CRITERIA
13
OTHERS WOULD HAVE BEEN SINCE IT'S NOT A SHARP LINE
14
BETWEEN SAFE AND UNSAFE IF YOU FIND AN AVERAGE
15
CONCENTRATION OF SIX AND THE TLV IS FIVE YOU'RE
16
GOING TO RECOMMEND DUST CONTROL
IT'S TOO CLOSE
17
Q.
WHAT IF YOU FIND CONCENTRATIONS BELOW THE
18
TLV
COULD YOU AS AN INDUSTRIAL HYGIENIST COME TO
19
THE CONCLUSION THAT IT WAS THEN SAFE
20
A.
VERY OFTEN WE HAD TO DO THAT
IN
21
INVESTIGATING A COMPLETE PROCESS WE'D RULE OUT
22 23
CERTAIN PARTS OF THE PROCESS THAT CONTAINED NO RISK
24 Q.
WELL YOU WERE A MEMBER OF THE ACGIH IS
25
THAT CORRECT AMERICAN CONFERENCE OF GOVERNMENTAL
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
AND INDUSTRIAL HYGIENISTS
A.
I WAS WHEN I WAS IN THE U.S. NAVY
I WAS SIMPLY A CONSULTANT TO THEM
LATER ON
0
A LIFETIME MEMBER IS THAT NOT
CORRECT
A.
I AM NOW YES
Q.
IT WAS THE ACGIH THAT
ESTABLISHED THE TLV'S
IS THAT NOT CORRECT
A.
CORRECT
Q. ISN'T IT TRUE THAT THE ACGIH WENT OUT OF ITS 10 WAY ON MANY OCCASIONS TO SAY THESE AREN'T
11
STANDARDS THEY'RE JUST
GUIDELINES JUST
12 PROPOSALS
13
A.
THAT'S RIGHT
14 15 16 17 18
Q. AND ISN'T IT TRUE AND I'M TALKING ABOUT
ASBESTOS NOW NOT TLV'S
DON'T THINK THAT IF YOU
FOR OTHER SUBSTANCES THAT HAVE CONCENTRATIONS BELOW
THIS THAT IT'S SAFE ISN'T THAT CORRECT
THAT'S
NOT WHAT WE'RE SAYING
19 20 21 22
A. I GUESS THAT'S A LOGICAL SEQUENCE TO THE STATEMENT THAT THEY'RE NOT SHARP DIVIDING LINES BETWEEN SAFE AND UNSAFE
e
NOW ARE YOU
DREESSEN STUDY
FAMILIAR WITH DREESSEN
THE
24
A.
YES
25
Q.
AND DREESSEN --
MASTROIANNI & FORMAROLI INC
Professionals Serving Professionals
MORGAN - JACOBY
57
OBJECTION
MS ALITO
I HAVE TO OBJECT TO THIS
LINE OF QUESTIONING BECAUSE I THINK WE'RE GOING
BACK HEAVILY INTO THE AREA OF EXPERT TESTIMONY AND
I HAVE TO REITERATE THAT MR MORGAN IS HERE AS A
FACT WITNESS
AND IT IS APPROPRIATE TO QUESTION
HIM ABOUT HIS STATE OF KNOWLEDGE AT CERTAIN
PERIODS RELEVANT TO THE DOCUMENTS AND HIS
INVOLVEMENT IN WORK AT DUPONT BUT TO START GOING
10
INTO THESE BROAD AREAS THAT ARE CLEARLY EXPERT
11
TESTIMONY AREAS I THINK IS INAPPROPRIATE
12
MR JACOBY
LET ME STATE AGAIN
13
THAT I AM NOT HERE TO ASK FOR ANY EXPERT WITNESS
14
TESTIMONY
I'M HERE FOR ONE PURPOSE AND ONE
15
PURPOSE ONLY TO FIND OUT THE STATE OF YOUR MIND
16
AND THE STATE OF YOUR KNOWLEDGE
IT JUST SO
17
HAPPENS THAT MR MORGAN WAS AN EXPERT AND THE
18
STATE OF HIS MIND IS AN AREA THAT TO WE LAYMEN
19
ARE EXPERT AREAS
I'M NOT ASKING HIM TO EXPRESS
20
ANY OPINIONS JUST TO TELL ME WHAT HE KNOWS
THOSE AREAS ARE AREAS OF EXPERTISE
I JUST CAN'T
SAY IT ANY OTHER WAY
BY MR JACOBY
Q.
DREESSEN ESTABLISHED A TLV DIDN'T HE
A.
I WOULDN'T USE THAT TERM
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
58
OBJECTION
|
MS
ALITO
I HAVE TO REITERATE THE
OBJECTION
MR MORGAN'S CURRENT KNOWLEDGE WITH
RESPECT TO DREESSEN OR ANYBODY ELSE I THINK IS
TOTALLY IRRELEVANT TO THIS CASE
I THINK IT'S
APPROPRIATIEF YOU -- NOT TO TELL YOU HOW TO
CONDUCT YOUR EXAMINATION I'M SURE YOU WOULDN'T
LET ME EVEN IF I TRIED BUT HIS KNOWLEDGE OF
DREESSEN AT THE TIME THAT THIS EXHIBIT WAS WRITTEN
10
OR THE STATE OF HIS KNOWLEDGE AT THAT TIME
11
CERTAINLY YOU'RE FREE TO GO INTO THAT BUT TO SIT
12
HERE RIGHT NOW AND ASK HIM TO RECALL THE VARIOUS
13 14 15 16
AUTHORS I THINK IS TOTALLY OUT OF BOUNDS
MR JACOBY
WELL IF YOU LET ME JUST
ASK A FEW MORE QUESTIONS YOU'D SEE THAT MR MORGAN
HAS ANY NUMBER OF DOCUMENTS WHERE HE TALKS AHOUT
17
TLV'S AND TLV'S ARE THE SUM AND SUBSTANCE OF WHAT
18
THE MAN DID
HE WAS AN EXPERT IN THIS AREA
HE
19
WORKED WITH THRESHOLD LIMIT VALUES
HE
20
RECOMMENDED THRESHOLD LIMIT VALUES
HE DID AIR
21
MONITORING TO SEE IF THRESHOLD LIMIT VALUES WERE
22
COMPLIED WITH
AND ALL I'M ASKING HIM IS IF HE
23
KNEW WHAT THE THRESHOLD LIMIT VALUE WAS AT ONE
24
POINT IN TIME OF EMPLOYMENT
I'M NOT GOING TO ASK
25
HIM ANY OPINIONS DID HE AGREE OR DISAGREE OR ANY
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
59
OF THAT
I'M JUST ASKING HIM DID HE KNOW THAT
THEY EXISTED AND EITHER HE DID OR DIDN'T
MS ALITO
OKAY
OUR POSITIONS HAVE
BOTH BEEN STATED
I CONTINUE WITH MY OBJECTION TO
THIS LINE OF QUESTIONING BUT WE SHOULD GO
FORWARD
IF YOU COULD READ BACK THE QUESTION OR
RESTATE IT
BY MR JACOBY
Q.
SIR YOU CAN SEE WHERE IN P MORGAN
THE
10
DOCUMENT WE'VE BEEN DISCUSSING IT SAYS IN LINE
11
WITH THIS CURRENT FEELING I AM ENCLOSING THE
12
TENTATIVE VALUES BEING SUGGESTED BY THE ACGIH FOR
13
THE TLV FOR ASBESTOS
OKAY
14
A.
YES
Q.
THE RECOMMENDATION MADE IS NOTHING BUT A
16
PROPOSAL AT THIS TIME BUT IT IS INDICATIVE OF THE
17
TRENDS OF THE INDUSTRIAL HYGIENE THINKING
18
MY ONLY REAL QUESTION TO YOU SIR IS DO YOU
19
AGREE WITH THAT
THAT'S ALL I'M TRYING TO ASK
20
YOU
21 22
24 25
A.
THERE WAS A VALUE OF FIVE MILLION PARTICLES
'
PER CUBIC FOOT OF AIR WHICH ORIGINALLY WAS
SUGGESTED BY DREESSEN AS A TENTATIVE VALUE
AND
IT REMAINED IN THE TLV LIST UNTIL ABOUT THIS YEAR 1968 AT WHICH TIME THE COMMITTEE BEGAN TO
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
60 MORGAN - JACOBY CONSIDER A CHANGE
Q.
I UNDERSTAND
THINK A
AND I
THAT'S WHAT STOPPS IS TALKING
ABOUT HERE
Q.
ALL RIGHT
OBVIOUSLY I THINK THAT'S WHAT
HE IS TALKING ABOUT
WHEN DREESSEN RECOMMENDED
THAT TLV IN YOUR A GUIDELINE OR AN
MIND SIR WAS THAT A PROPOSAL ABSOLUTE STANDARD IN INDUSTRIAL
HYGIENE
10 11 12 13 14
A.
I THINK FOR AN ANSWER TO
THAT YOU SHOULD GO
TO THE DREESSEN PAPER ITSELF AND THE WORDS THAT HE
USED IN RECOMMENDING THAT
Q. AND THE WORDS THAT HE USED WERE PROPOSAL
A.
EXACTLY
15 16 17 18 19 20 21
Q. SAID AGREE
AND MY QUESTION I WANT TO KNOW
WITH THAT
IS - I KNOW WHAT
WHAT MORGAN SAYS
DREESSEN DID YOU
\
A. I HAVE A DEFINITE OPINION ON THAT
Q. I DON'T WANT YOUR EXPERT OPINION
A. IT HAS NOTHING AT ALL TO DO WITH THE DUPONT PLANT PER SE
OBJECTION
MS ALITO
WELL I HAVE TO OBJECT
23
YOU JUST ASKED MR
MORGAN A FACT WITNESS WHETHER
24
HE AGREES WITH WHAT
DREESSEN STATED AND THAT'S AN
25
EXPERT OPINION
MASTROIANNI & FORMAROLI INC
Professionals Serving Professionals
61 MORGAN - JACOBY
MR JACOBY
BY MR JACOBY
ALL RIGHT
SIR Q.
DID YOU BELIEVE
AT THE TIME OF THIS
DOCUMENT JANUARY 10TH 1968 THAT THERE WAS A
LEVEL OF EXPOSURE TO ASBESTOS THAT WAS SAFE
A. I BELIEVE IN PRINCIPLE THAT IT'S TRUE OF ANY
TOXIC MATERIAL THE TOXICITY DEPENDS ON THE DOSE
Q. AND THAT THERE ARE LEVELS THAT ARE SAFE
A.
SURE
10 11 12 13 14
Q. OKAY NOW TOWARDS THE END OF THAT LARGE
PARAGRAPH THERE DR STOPPS TALKS ABOUT SMOKING AS
IT RELATES TO ASBESTOS A FURTHER STRAW IN THE
EXPOSURE
DO
WIND IS WHERE
YOU SEE THAT
IT STARTS
A.
YES I SAW THAT
15
Q.
HAD YOU RECEIVED ANY INFORMATION BACK IN THE
16 1964 TO '68 PERIOD OF TIME HAVING TO DO WITH
17 ASBESTOS EXPOSURE AND
SMOKING CIGARETTE SMOKING
18
eT
19
DID HEAR OF
RELATIONSHIPS THAT
20 TEN INVESTIGATED BY OTHERS OTHERS
21
Q.
AND
WHAT DID YOU HEAR
SIR
oh
22
A.
THAT THERE SEEMED TO BE AN INCREASED
23 INCIDENT OF LUNG CANCER IN PEOPLE WHO HAD
24 ASBESTOSAINSD SMOKED OVER THO WHS O HE AD
ASBESTOSIS AND DID NOT SMOKE
MASTROIANNI & FORMAROLI INC
Professionals Serving Professionals
MORGAN - JACOBY
62
Q.
DID YOU KNOW WHETHER OR NOT DUPONT HAD IN
ITS EMPLOY INDIVIDUALS WHO WERE EXPOSED TO
ASBESTOS AND SMOKED
A.
ABSOLUTELY NOT I DIDN'T KNOW
Q.
DID YOU MAKE ANY EFFORT TO FIND OUT
A.
NO
IN MY POSITION I DIDN'T TAKE THE
INITIATIVE IN GOING OUT AND LOOKING FOR THINGS
I
WAS -- WE DIVIDED THE TASKS AMONG THE AVAILABLE
PERSONNEL
10
Q.
WHO WAS THAT THAT TOLD YOU --
11
A.
I WAS NOT SENT OUT TO INVESTIGATE SMOKING
12
Q.
WHO WAS IT THAT TOOK THE INIATIVE IF YOU
13
KNOW
14
A.
IN THIS PARTICULAR MATTER OF SMOKING AND
15
ASBESTOS
16
Q.
WELL SMOKING - ASBESTOS GENERALLY THE
17
HEALTH EFFECTS OF ASBESTOS
WAS THERE AN
18
INDIVIDUAL IN THE DUPONT COMPANY THAT YOU KNEW
19
THAT TOOK THE INIATIVE IN THIS INQUIRY
20
A.
WELL I THINK IT'S EVIDENT FROM THE
21
CORRESPONDENCE THAT YOU SHOWED ME THAT STOPPS WAS
22
QUITE ACTIVE IN DOING THAT
I DON'T KNOW THE
23
EXACT ASSIGNMENT ON WHICH HE WAS WORKING
24
Q.
AND IN TERMS OF YOUR DIRECT COMMUNICATION
25
WITH DR STOPPS WHICH WENT BACK TO - EXCUSE ME
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
63
I MISCHARACTERIZED THAT NOT YOUR DIRECT
COMMUNICATION WITH DR STOPPS BUT IN TERMS OF DR
STOPPS COMMUNICATION OF WHICH YOU RECEIVED A COPY
IN 1965 HE HAD ALREADY BEEN TALKING ABOUT ASBESTOS
DISEASE AND WATCHING PEOPLE AND PULLING HEALTH
RECORDS AND SO ON ISN'T THAT CORRECT IN '65
A.
I ASSUME THAT'S CORRECT
Q.
A.
WELL
--
IT STARTED AFTER 1964
10
Q.
AND WE DISCUSSED THAT IN SOME DETAIL AND I'M
11
TALKING ABOUT P MORGAN THE NOVEMBER 29 65
12
LETTER WHERE DR STOPPS RAISED ALL OF THESE
13
ISSUES
14
NOW SIR TURNING YOUR ATTENTION TO P
15
MORGAN AND THAT'S DATED NOVEMBER THE 5TH OF
16
1968.
DO YOU SEE THAT
17
A.
YES
18
Q.
AND THAT IS FROM YOU TO DR J.A. ZAPP AND
19
YOU TOLD US A LITTLE WHILE AGO THAT HE'S ONE OF
20
THE PEOPLE YOU REPORTED DIRECTLY TO IS THAT
21 CORRECT
22
A.
AND HE WAS THE DIRECTOR OF HASKELL
23
LABORATORY
I REPORTED TO AN INTERMEDIARY TO HIM
24
AND I WAS FREE TO CORRESPOND DIRECTLY WITH HIM
25
Q.
AND ON THIS OCCASION YOU DID
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
64
A.
I DID YEAH
Q. AND YOU TALK ABOUT A NEW YORKER ARTICLE ON
ASBESTOS
OKAY
A.
OH YEAH
Q.
AM I CORRECT SIR THAT YOU READ THE NEW
YORKER ARTICLE ON ASBESTOS
A.
I SUPPOSE I MUST HAVE
Q.
I GOT TO TAKE IT ONE STEP AT A TIME
AND
10
APPARENTLY YOU SENT A COPY OF THAT ARTICLE TO -
A.
TO ZAPP
11
Q.
TO DR ZAPP IS THAT CORRECT
12
A.
RIGHT
I THINK I DID I SAID SO
13
Q.
I'M NOT ASKING YOU TO GO WAY OUT ON A LIMB
14
HERE OR ANYTHING
15
WHAT WAS CONTAINED IN YOUR ARTICLE THE NEW
16
YORKER ARTICLE
17
A.
I DON'T REMEMBER
18
Q.
WELL YOU THOUGHT ENOUGH OF IT TO CUT IT OUT
19
AND SEND IT TO HIM
20
A.
YES
AND AT THE TIME I MUST HAVE BEEN
21 22
INTERESTED IN ITS EFFECT OF WHAT WAS SAID IN IT BUT AT THIS DATE I DON'T RECALL WHICH ARTICLE THAT
23
WAS
I REMEMBER A SERIES OF ARTICLES IN THE NEW
24
YORKER MAGAZINE ON ASBESTOS BUT I DON'T RECALL
25
THAT THEY CAME AS EARLY AS 1968
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN --- JACOBY
65
Q.
AS OF THIS TIME THE TIME THAT YOU SENT THE
NEW YORKER ARTICLE TO ZAPP DO YOU KNOW WHAT WAS
BEING DONE BY DR STOPPS AND HIS COLLEAGUES IN
TERMS OF PROTECTING EMPLOYEES FROM THE POTENTIAL
HEALTH HAZARDS OF ASBESTOS
A.
I'VE SEEN HERE TODAY IN SOME OF THESE ITEMS
OF CORRESPONDENCE THAT STOPPS WAS ACTIVE IN
TALKING ABOUT AT LEAST IN PROMOTING VARIOUS
LINES OF INVESTIGATION
10
Q.
AND DID YOU BELIEVE THAT THAT INQUIRY WAS A
11
PROPER INQUIRY IN LIGHT OF WHAT YOU KNEW ABOUT
12
ASBESTOS
13
A.
-
YES
14
Q.
DID YOU BELIEVE THAT INDIVIDUALS SHOULD BE
15
TOLD
16
A.
WELL AS A SCIENTIST IT WOULD BE MY
17
JUDGMENT THAT INVESTIGATION OF THE RISKS CAUSED BY
18
ASBESTOS IN THE WORK PLACE SHOULD BE PURSUED
19
BECAUSE THE KNOWLEDGE WAS CERTAINLY NOT FULL AND
20
COMPLETE AND CUT AND DRY AT THAT TIME
21
Q.
NOW MR MORGAN ON THE NEXT EXHIBIT OKAY
22
AND THAT'S DATED OCTOBER 2ND 1969 --
23
MS ALITO
FOR THE RECORD THIS IS P
MORGAN
25
BY MR JACOBY
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
Q.
DO YOU SEE THAT SIR
IT SAYS OLD HICKORY
TENNESSEE AND IT SAYS ON THE LEFT PERSONAL AND
66
CONFIDENTIAL J.P. MORGAN HASKELL LABORATORY
DO
YOU SEE THAT SIR
A.
YEAH
I ASSUME THAT WAS TO ME NOT TO MY
DAD J.P.
Q.
YOU SEE THAT SIR
TAKE A MINUTE AND LOOK
THROUGH IT
NOW THIS WAS A DOCUMENT THAT YOU
SENT IS THAT CORRECT
10
A.
NO
IT WAS ADDRESSED TO ME
11
Q.
I'M SORRY A DOCUMENT THAT YOU RECEIVED
12
A.
YES AND SIGNED BY CHARLES CROOK
13
Q.
RIGHT
I'M SORRY
DO YOU KNOW WHY IT WOULD
14
HAVE BEEN MARKED PERSONAL AND CONFIDENTIAL
15
MS ALITO
CAN THE WITNESS HAVE A
16
MINUTE TO LOOK THROUGH THE DOCUMENT FIRST
17
18
AHEAD
MR JACOBY
OH
YES
I'M
|
SORRY
GO
19 20 21
THE WITNESS
YOU ASKED ME WHY IT WAS
SENT PERSONALLY AND CONFIDENTIALLY
BY MR JACOBY
22
Q.
IF YOU KNOW
23
A.
A DOCUMENT LIKE THIS IS WRITTEN IN THE
24
COURSE OF SOME CONSIDERATIONS OF A LINE OF ACTION
IN THIS CASE REPORTING ON DUST CONCENTRATIONS
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
67 MORGAN - JACOBY
SEVERAL OPTIONS WERE STILL OPEN IN THEIR
CONSIDERATIONS
AND THOSE QUESTIONS ARE NOT
USUALLY PUBLICIZED UNTIL SOME DECISION HAS
MADE ON WHICH WAY TO GO
OTHERWISE THERE
BE A MISUNDERSTANDING
SO THESE KINDS OF
BEEN COULD
DOCUMENTS ARE ALWAYS KEPT TO THE PEOPLE WHO NEEDED TO KNOW AND WERE DIRECTLY INVOLVED IN THE DECISION MAKING
2
So IN 1969 A
DECISION HADN'T BEEN MADE YET
10
AS TO WHICH WAY TO GO WITH
THIS ASBESTOS PROBLEM
11 OBJECTION
12
MS ALITO
I OBJECT TO THE FORM
13
THE WITNESS
THAT'S A
14
GENERALIZATION
THAT IS NOT
CORRECT
15
BY MR JACOBY
16 17 18 19 20 21
Q. OKAY WELL WHAT DECISIONS HAD BEEN MADE
A.
OBVIOUSLY A DECISION HAD BEEN MADE TO
MEASURE ASBESTOS DUST LEVELS
Q.
THAT HAD NOT YET BEEN . DONE
A.
THEY MAY HAVE BEEN
ONGOING BEFORE THAT
I
DON'T KNOW
22
Q.
DO YOU KNOW --
23
A.
BUT AT THIS PARTICULAR TIME THEY'RE
24 CONSIDERING DIFFERENT
MEANS OF REPORTING THESE
25
VALUES
AS YOU SEE IN THE LETTER THE
CONSTRUCTION
MASTROIANNI & FORMAROLI INC
Professionals Serving Professionals
MORGAN - JACOBY
68
DIVISION ADOPTED ONE PARTICULAR LEVEL AND THESE
PEOPLE IN THE TEXTILE FIBER DEPARTMENT ARE TRYING
TO DECIDE WHETHER THEY SHOULD GO ALONG WITH THE
CONSTRUCTION DIVISION'S RECOMMENDATION
Q.
IN 1969 SIR DO YOU HAVE PERSONAL KNOWLEDGE
AS TO WHETHER OR NOT ANY AIR MONITORING HAD BEEN
CONDUCTED
MS ALITO DATE IS '68
EXCUSE ME I THINK THE
10
MR JACOBY
I'M SORRY --
11
MS ALITO
OH NO I'M WRONG
12
MR JACOBY
GOOD
13
THE WITNESS
NO
I THINK I
14
MENTIONED BEFORE THAT I WAS NOT PERSONALLY
15
INVOLVED
IN MEASURING DUST IN THE PLANTS
SO
--
16
BY MR JACOBY
17
Q.
I UNDERSTAND
MY QUESTION TO YOU IS DID YOU
18
KNOW WHETHER IN FACT IT WAS GOING ON OR NOT
19
A.
I DON'T RECALL WHETHER I DID OR DID NOT KNOW
20
DEFINITELY WHETHER IT WAS GOING ON AT THAT TIME
21 22 23
2
SHOULD IT HAVE BEEN GOING ON AT THAT POINT
A.
IT SHOULD HAVE AND IT PROBABLY WAS BUT I
DON'T HAVE A DEFINITE RECOLLECTION
24
Q.
YOU KNOW BACK IN '66 STOPPS TALKED ABOUT
25
PULLING THE MEDICAL RECORDS OF FIFTY PIPE
MASTROIANNI & FORMAROLI ^ NC Professionals Serving Professionals
MORGAN - JACOBY
69
COVERERS SO THEY COULD LOOK TO SEE IF THERE WAS
ANY DISEASE OR ANYTHING AND SO ON
DID YOU EVER
ASK FOR THE RESULTS OF THAT INQUIRY
A.
I DON'T RECALL
Q.
DO YOU RECALL EVER THINKING ABOUT PAYING ANY
ATTENTION TO THAT ASPECT OF IT ACTUALLY WATCHING
INDIVIDUALS WHO WORKED WITH ASBESTOS
DOES THAT
QUESTION MAKE SENSE
A.
THE QUESTION IS AIMED AT MY COMMON SENSE
10
KNOWING THAT ASBESTOS CAN CAUSE DISEASE DID I
11
HAVE ANY FEELING THAT IT SHOULD BE CONTROLLED
12
Q.
LET'S BREAK IT DOWN
13
A.
YES IT SHOULD BE CONTROLLED
14
Q.
DR STOPPS WROTE A LETTER AND YOU RECEIVED A
15
COPY
AND IN THAT LETTER P MORGAN IT SAYS I'M
16
PULLING THE RECORDS OF FIFTY PIPE COVERERS
17
BECAUSE I WANT TO SEE WHAT THEIR MEDICAL RECORDS
18
SHOW
AND YOU RECEIVED A COPY OF THAT
DID YOU
19
EVER ASK DR STOPPS HEY WHAT DID YOU FIND OUT
20
ABOUT THESE GUYS
21
A.
YOU ASKED THAT QUESTION IN A DIFFERENT FORM
22
JUST A COUPLE MINUTES AGO AND I SAID I DON'T
23
RECALL
24 25
Q.
OKAY
SO WOULD IT BE CORRECT SIR THAT IN
1969 IN TERMS OF YOUR OWN KNOWLEDGE AND IN YOUR
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
70
OWN PARTICIPATION NO POSITIVE STEPS HAD BEEN
TAKEN YET IN TERMS OF MONITORING ASBESTOS DUST IN
THE AIR OR REDUCING ASBESTOS DUST
OBJECTION
MS ALITO
OBJECTION
ASKED AND
ANSWERED
YOU CAN ANSWER IT AGAIN
I ALSO OBJECT
TO THE FORM
THE WITNESS
WILL YOU REPEAT IT
PLEASE
10
DESIGNATED QUESTION IS READ
11
THE WITNESS
THE QUESTION QUALIFIES
12
THE ANSWER TO THE EXTENT OF MY OWN KNOWLEDGE AND
13
PARTICIPATION
THAT WOULD HAVE LED ME TO CONCLUDE
14
15
EITHER ONE OF TWO THINGS THINGS WERE NOT BEING
DONE OR THINGS WERE BEING DONE
16
BY MR JACOBY
17
Q.
18
A.
YOU DIDN'T KNOW ONE WAY OR THE OTHER I DON'T RECALL ANY SPECIFIC KNOWLEDGE OF
19
THINGS THAT WERE BEING DONE
I DON'T RECALL -- H
20
DON'T HAVE ANY SPECIFIC KNOWLEDGE THAT THINGS WERE
21
NOT BEING DONE
22
Q.
AGAIN I'M NOT TRYING TO ARGUE WITH YOU --
23
A.
I'D LIKE TO ASSUME AND I WOULD ASSUME YES
CERTAINLY THERE WERE THINGS BEING DONE
AND I
25
BELIEVE THAT
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
71
2
I'M NOT TRYING TO ARGUE WITH YOU BUT BASED
ON THE DOCUMENTS THAT WE'RE REVIEWING YOU HAD SOME
LEVEL OF PARTICIPATION WITH THIS ASBESTOS
SITUATION
YOU RECEIVED DOCUMENTS YOU AUTHORED
DOCUMENTS HAVING TO DO WITH ASBESTOS IS THAT
CORRECT
A.
YES
Q
AND ALL I'M TRYING AS I'VE TRIED TO DO WITH
EVERY WITNESS IS FIND OUT THE LEVEL OF YOUR
10
PARTICIPATION
11
A.
IT IS LIMITED
12
Q.
13
A.
THAT'S WHAT I'M TRYING TO FIND OUT
BUT I DON'T LIKE TO BE PUT IN THE POSITION
14
OF AGREEING WITH YOUR CONCLUSION -
15
Q.
NO I DON'T WANT YOU TO
16
A.
-- THAT SOMETHING WAS OR WAS NOT DONE
17 18 19 20 21
Q.
ONLY IF YOU KNOW
IF YOU THINK IT WAS DONE
YOU TELL ME
IF YOU DON'T KNOW YOU TELL ME
THE
LAST THING I WANT TO DO IS PUT WORDS IN YOUR
MOUTH
OKAY
YOU'RE FREE TO SAY I DISAGREE AT
ANY TIME
22
NOW SIR THIS MEMORANDUM LET'S CALL IT OF
23
OCTOBER 2ND 1969 HAS A SERIES OF ATTACHMENTS
24
DO YOU SEE THAT
25
A.
YES
ee ee ee
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
-
~_
MORGAN - JACOBY
72
Q.
I HAD QUESTIONED YOU ABOUT A LOT OF THAT
EARLIER TALKING ABOUT DREESSEN MEREWETHER LYNCH
AND SMITH SOME OF THE AUTHORS THAT WE HAD TALKED
ABOUT
DO YOU SEE THIS AND I'LL DIRECT YOUR
ATTENTION TO ON THE BOTTOM IT SAYS PAGE 15 AND ON
THE TOP IT SAYS ATTACHMENT II DOCUMENTATION OF
TLV FOR THE 1966 ACGIH
DO YOU SEE THAT
A.
YES REFERENCES
2
OKAY
NOW ON THE THIRD PARAGRAPH SIR IT
10
SAYS THAT EXPOSURE TO ASBESTOS IS ASSOCIATED WITH
11
DEVELOPMENT OF A POTENTIALLY DISABLING
12
PNEUMOCONIOSIS IN MAN HAS BEEN APPLY DEMONSTRATED
13
BY INDUSTRIAL EXPERIENCE
THEN IT GIVES A SERIES
14
OF REFERENCES OKAY
15
A.
THREE THROUGH ELEVEN
16
Q.
AND THOSE REFERENCES WERE SOME OF THE ONES I
17
DISCUSSED WITH YOU EARLIER
18
A.
YES
19
Q.
NOW WHEN YOU RECEIVED THIS DOCUMENT IN 1969
20
AND YOU RECEIVED THIS ATTACHMENT DID YOU AGREE
21
WITH THAT STATEMENT THAT EXPOSURE TO ASBESTOS IS
22
ASSOCIATED WITH THE DEVELOPMENT OF A POTENTIALLY
23
DISABLING ET CETERA ET CETERA -
24
25
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
73
OBJECTION
MS ALITO
I OBJECT TO THAT QUESTION
ON THE GROUNDS THAT WHETHER HE AGREED WITH THIS
MEDICAL CONCLUSION OR NOT IS IRRELEVANT AND CALLS
FOR AN EXPERT OPINION
MR JACOBY
I THINK IT CALLS FOR THE
STATE OF MIND OF ONE OF THE TOP INDUSTRIAL
HYGIENISTS AT THE DUPONT COMPANY
WHETHER IT'S
TRUE OR NOT IS EXTRANEOUS
WHETHER HE BELIEVED IT
10
OR NOT IS VERY RELEVANT
11
THE WITNESS
A WHILE AGO YOU
12
MENTIONED MEREWETHER 1930 AND I CORRECTED YOU AND
13
- YOU SAID 1935
AND I SAID 1930
THAT WAS MORE
14
THAN ONE MEREWETHER PAPER
15
MR JACOBY
ANY NUMBER
16
THE WITNESS
THE ONE THAT I USED
17
MOST OFTEN WAS MEREWETHER AND POST I BELIEVE IT
18
WAS
MEREWETHER WAS THE MEDICAL MAN AND THE OTHER
19
GUY WAS THE ENGINEER AND THEY MADE A JOINT
20
INVESTIGATION
I WAS FAMILIAR WITH ALL THAT AND
21
AGREED WITH THE CONCLUSIONS
22
BY MR JACOBY
23
Q.
BUT MY QUESTION TO YOU SIR AND MY POINT
24 25
IS THAT CERTAINLY IN 1969 AND EVEN BEFORE THAT AS YOU'VE ALREADY TESTIFIED YOU HAD BEEN PRIVY TO
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
74
MORGAN ~- JACOBY|
THESE VARIOUS STUDIES AND PAPERS AND SO ON YOU
HAD KNOWLEDGE OF THEM
A.
YES
Q.
OKAY
AND DID YOU HAVE ANY KNOWLEDGE OF
THIS WHERE IT SAYS ATTACHMENT III FROM THE ANNALS
OF THE NEW YORK ACADEMY OF SCIENCE AND IT'S DATED
DECEMBER 31 1965 THE BIOLOGICAL EFFECTS OF
ASBESTOS
HAD YOU SEEN THAT BEFORE 1969 IF YOU
REMEMBER
10
A.
I DON'T REMEMBER TIMBRELL AT ALL V.
11
TIMBRELL
12
Q.
BY THIS TIME SIR BY 1969 HAD YOU REACHED
13
A CONCLUSION IN YOUR OWN MIND AS TO WHETHER OR NOT
14
ASBESTOS CAN CAUSE CANCER OF THE LUNG
15
A.
IT'S HARD FOR ME TO PUT A DATE ON IT BUT I
16
WOULD BE INCLINED TO SAY YES I HAD BEEN CONVINCED
17
AT THAT TIME THAT THERE WAS A RELATIONSHIP
18
Q.
19
A.
WHAT ABOUT MESOTHELIOMA
I DIDN'T KNOW MUCH ABOUT THAT
THAT WAS
20 21 22
STILL A MYSTERY TO A LOT OF PEOPLE
Q.
WELL YOU TALKED ABOUT IT IN SOME DETAIL IN
OTHER DOCUMENTS
BUT AT THIS TIME IN 1969 I
BELIEVE YOUR ANSWER WAS YOU DIDN'T HAVE MUCH
24
KNOWLEDGE ABOUT MESOTHELIOMA
25
A.
I'M NOT SURE OF THE TIME THE DATE
BUT I
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
75
THINK THAT'S RIGHT
|
Q.
WHEN YOU GOT THIS DOCUMENT IN 1969 AND THOSE
ATTACHMENTS OKAY AND WE'VE ALREADY GONE OVER
THEM IN SOME DETAIL AND YOU TOLD US YOU KNEW ABOUT
THEM EVEN BEFORE THIS DID YOU BELIEVE THAT THERE
WERE INDIVIDUALS AT DUPONT WHO HAD THE RISK OF
GETTING CANCER OF THE LUNG BECAUSOEF WHAT THEY
DID FOR A LIVING
A.
I DID NOT
10
e
11
A.
AND WHY IS THAT SIR
IN DUPONT THERE WAS A GREAT EFFORT
12
CONTINUALLY BEING MADE FOR SAFETY AND HEALTH
13
Q.
14
A.
SIR I UNDERSTAND THAT
I'M NOT HERE TO -
YOU ASKED ME AND THAT'S MY ANSWER
15
Q.
I'M NOT HERE TO TRY TO GIVE THE DUPONT
16
COMPANY A BLACK EYE
I WANT TO KNOW WHAT YOUR
17
OPINION WAS IN 1969.
DID YOU BELIEVE THAT THERE
18
WERE EMPLOYEES WHO WORKED FOR THE DUPONT COMPANY
19
WHO WORKED WITH ASBESTOS ON A DAILY BASIS AND
20
WITH YOUR KNOWLEDGE OF HOW ASBESTOS WAS USED IN
21
THIS COMPANY THAT WERE AT RISK OF GETTING CANCER
22
OF THE LUNG
23
MS ALITO
HE ALREADY ANSWERED THIS
24
QUESTION
YOU CAN ANSWER IT AGAIN IF YOU WANT
25
THE WITNESS
DID I BELIEVE EMPLOYEES
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY WERE AT RISK OF GETTING LUNG CANCER BY MR JACOBY
76
Q.
YES WHO WORKED WITH ASBESTOS
A.
IF YOU MERELY WORK IN A ROOM WHERE THERE IS
SOME ASBESTOS IN USE YOU CAN SAY YES YOU'RE AT
RISK
BUT IF THE CONTROLS ARE OPERATING AND
YOU'RE PROTECTED ACCORDING TO THE RULES OF THE
WORK PLACE THE RISK IS DIMINISHED
BUT I WOULD
NOT SAY YOU'RE NOT AT RISK
10 11 12 13 14 15 16
2
ALL RIGHT
WHAT WERE THE RULES OF THE WORK
PLACE
WHAT WAS DONE TO PROTECT THEM
YOU GOT AN
INSULATOR OUT THERE IN 1969.
HE'S RIGHT ACROSS
THE RIVER AT CHAMBERS WORKS
AS AN INDUSTRIAL
HYGIENIST YOU KNOW WHAT HE DOES FOR A LIVING
HE
WORKS WITH INSULATION
WHAT WAS BEING DONE TO
PROTECT HIM
17
A.
ALL RIGHT
18
OBJECTION
19 20 21 22 23 24 25
MS ALITO
LET ME STATE MY
OBJECTION FIRST
I OBJECT TO THIS QUESTION ON
THE GROUNDS THAT MR MORGAN HAS ALREADY TESTIFIED
THAT HE WAS NOT INDIVIDUALLY AWARE OF WHAT THE
VARIOUS EMPLOYEES DID AS A PART OF THEIR JOB
HE HAS SECONDLY TESTIFIED THAT HE WAS NOT AWARE AS PART OF HIS JOB DUTIES OF WHAT
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
77 MORGAN - JACOBY
SPECIFIC MEASURES WERE TAKEN ON THE VARIOUS
PLANTS
SO I OBJECT TO THE QUESTION ON THE GROUND
THAT IT ASSUMES FACTS THAT ARE NOT So.
THE WITNESS BY MR JACOBY
THAT'S A GOOD ANSWER
Q.
THAT'S YOUR ANSWER
A.
YES THAT'S MY ANSWER
10 11 12 13 14 15 16 17
Q.
YOU DON'T KNOW WHAT WAS BEING DONE
A.
I KNEW ABOUT WHAT WAS BEING DONE IN MANY
SITUATIONS WHERE THERE WAS A RISK OF OCCUPATIONAL
DISEASE
I KNEW BECAUSE I HAD INVESTIGATED
THEM
I HAD NOT INVESTIGATED THE ASBESTOS
HANDLING IN THAT PLANT OR IN ANY OTHERS
SPECIFICALLY FOR THAT PURPOSE COUNTING THE NUMBER
OF HOURS SPENT AND THE PARTICLES OF DUST AND ALL
THOSE THINGS THAT WOULD HAVE TO BE DONE TO MAKE AN EVALUATION
18
Q.
DO YOU HAVE PERSONAL KNOWLEDGE --
19
A.
IT WAS BEYOND MY ASSESSMENT OF
20 RESPONSIBILITY
21
Q.
DO YOU KNOW WHETHER IN 1969 THERE WERE
22
EMPLOYEES OF DUPONT COMPANY WHO WORKED WITH
23 ASBESTOS ON A DAILY BASIS AND WERE NOT GIVEN A
24 RESPIRATOR
25
A.
I DO NOT KNOW THAT
MASTROIANNI & FORMAROLI INC
Professionals Serving Professionals
MORGAN - JACOBY
78
Q.
NOW SIR IF YOU'LL TURN TO THE NEXT
EXHIBIT I BELIEVE IT'S DATED NOVEMBER THE 25TH
1969.
I LOST THE NUMBER -
MS ALITO BY MR JACOBY
6
P MORGAN
Q.
IT SAYS ON THE TOP UNDERLINED METHOD OF
REPORTING ASBESTOS DUST LEVELS
APPARENTLY IT'S A
RESPONSE TO THIS PREVIOUS ONE
A.
YES
10
Q.
NOW SIR IN THE THIRD PARAGRAPH THE SECOND
11
SENTENCE IT SAYS IT IS NOW GENERALLY RECOGNIZED
12
THAT THIS LEVEL AND THIS METHOD HAVE OUTLIVED
13
THEIR USEFULNESS
YOU'RE REFERRING TO THE
14
ESTABLISHED TLV AT THAT TIME IS THAT CORRECT
A.
YES
16
Q.
WHY DID YOU BELIEVE THAT THE EXISTING TLV
17
HAD OUTLIVED ITS USEFULNESS
18
A.
BECAUSE AT THAT TIME I HAD BECOME AWARE OF
19
THE DEVELOPMENT OF METHODS OF COLLECTING DUST
20
SAMPLES AND COUNTING FIBERS THAT WAS CERTAINLY
21
MORE REASONABLE IN ATTEMPTING TO EVALUATE AN
22
ASBESTOS FIBER HAZARD THAN THE OLD METHOD OF
23
COUNTING DUST PARTICLES
24
Q.
AM I CORRECT THAT SOMETIME PRIOR TO 1969 YOU
25
HAD BEEN ASKED OR INSTRUCTED TO MAKE THIS AN AREA
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
79
OF INQUIRY FOR YOU ASBESTOS DUST MONITORING
I DON'T RECALL WHETHER I DID IT ON MY OWN
VOLUNTARILY OR WHETHER I HAD BEEN ASKED TO DO IT
BY SOMEONE ELSE AND IF SO WHO THAT SOMEONE MAY
HAVE BEEN
Q.
IT WAS NORMAL PROCEDURE FOR YOU TO DO THINGS
LIKE THIS ON YOUR OWN
A.
I WOULDN'T SIT UP LATE AT NIGHT DOING IT AT
HOME BUT YES IN CONNECTION WITH MY GENERAL
10
DUTIES IN THE DUPONT COMPANY I WOULD KEEP AWARE OF
11 DEVELOPMENTS OF THIS KIND NOT ONLY WITH RESPECT
12
TO ASBESTOS BUT MANY OTHER THINGS
DURING THAT
13
PERIOD OF TIME I WAS SERVING ON THE AMERICAN
14
STANDARDS ASSOCIATION COMMITTEE
AND SO I WROTE
15
STANDARDS FOR CONTAMINANTS IN THE AIR AND WORK
16
PLACES
SO I WAS COGNIZANT OF THESE DEVELOPMENTS
17
Q.
AND GOING ON WOULD I BE CORRECT SIR IF I
18
PHRASED IT IN TERMS OF 1968 AND '69 THAT YOUR
19
PARTICIPATION IN REGARD TO THE ASBESTOS SITUATION
20
INCREASED DURING THESE YEARS OVER WHAT IT HAD
21
BEEN IN THE PAST
22
A.
I THINK YOU MAY ASSUME THAT
23
Q.
WELL I DON'T WANT TO ASSUME IT
24
MORE INVOLVED
WERE YOU
25
MS ALITO
YES MR MORGAN PLEASE
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN
- JACOBY
80
WE DON'T WANT YOU TO ASSUME ANY FACTS
IF YOU
REMEMBER PLEASE GIVE AN ANSWER BASED ON YOUR
RECOLLECTION
BUT YOUR GUESS IS NOT GOING TO HELP
EITHER MR JACOBY OR ME
THE WITNESS
WELL I WOULD PREFER TO
GIVE AN EXACT ANSWER TO THAT
AND IN ORDER TO DO
SO I WOULD HAVE TO REVIEW A LOT OF RECORDS OF
INCOMING TELEPHONES CALLS AND CORRESPONDENCE THIS
AND THAT AND THE OTHER THING
SO I DON'T KNOW
10
WHAT WENT ON
11
BY MR JACOBY
Q.
IF I ASKED YOU THE QUESTION WERE YOU MORE
13
INVOLVED WITH ASBESTOS PROBLEMS IN '68 AND '69
14
THAN YOU HAD BEEN IN '64 AND '65 ARE YOU TELLING
15
ME YOU CAN'T ANSWER THAT QUESTION
16
A.
17
Q.
NOT EXACTLY OKAY
I PROBABLY WAS
18
MS ALITO
THAT'S FINE
19 20 21 22
BY
JACOBY
AND WOULD THE AREA OF YOUR INVOLVEMENT HAVE BEEN IN THE AREA OF YOUR EXPERTISE DUST MOTORING
AND SO ON AND THE INSTRUMENTATION FOR DUST
23
MONITORING
24
A.
TO SOME EXTENT
I WAS NOT WORKING IN A
25
LABORATORY WITH DUST COUNTING EQUIPMENT
MASTROIANNI & FORMAROLI INC
Professionals Serving Professionals
81 MORGAN - JACOBY
Q. DID YOU HAVE ANY INVOLVEMENT OTHER THAN THE
MONITORING OF dust
A
THAT'S KIND OF
ADVISORY
WORK
THAT IS
EXEMPLIFIED BY CHARLES E. CROOK
2 AND WOULD YOU AGREE THAT BASICALLY THE SUBJECT OF THESE PAST FEW EXHIBITS THAT WE'VE BEEN TALKING ABOUT IS CONCENTRATIONS OF ASBESTOS IN THE AIR
A. THAT'S A MAJOR PART OF IT YES
10
Q.
THE STANDARDS AND SO ON AND SO FORTH
NOW
11 THERE WAS ONE SENTENCE DOWN AT THE BOTTOM OF THIS
12 PAGE THAT I WASN'T QUITE SURE -- MAYBE YOU CAN
13
EXPLAIN IT TO ME
14
15 MORGAN
MS ALITO
WE'RE STILL ON P
16
BY MR JACOBY
17 18 19 20 21 22
Q. YEAH BOTTOM OF THAT PAGE SIR IT STARTS
OUT THE LATTER
ET CETERA AND
METHOD OF COLLECTING AND COUNTING
THEN IT SAYS IT GIVES A MORE DIRECT
MEASURE OF THE AGENT WHICH NEEDS TO BE CONTROLLED
IN ORDER TO ELIMINATE ASBESTOSIS
A.
YES
23
Q.
24
A.
25
2
THE AGENT WAS WHAT
FIBERS OF ASBESTOS MINERAL
WOULD DUST WOULD THAT BE ACCURATE OR NOT
MASTROIANNI & FORMAROLI INC
Professionals Serving Professionals
MORGAN - JACOBY
82
ACCURATE
A.
THE OLD METHOD DATES BACK TO -- DREESSEN
REFERRED TO DUST
AND HE USED HIS RECOMMENDED
LIMIT AS AN INDEX OF DUSTINESS WITH THE ASSUMPTION
THAT IF YOU'RE WORKING WITH ASBESTOS YOU'VE GOT
ASBESTOS FIBERS IN THERE AMONG OTHER KINDS OF
DUST
AND IF YOU KEEP YOUR TOTAL DUST LOW YOUR
FIBER COUNT IS GOING TO GO LOW
BUT YOU'RE NOT
MEASURING IT DIRECTLY
THIS LATTER METHOD NOW
10
COMES TO MEASURE DIRECTLY THE ASBESTOS FIBERS
11
WHICH IS THE AGENT WE'RE CONCERNED WITH
12
Q.
AND WHERE YOU SAY ELIMINATE ASBESTOSIS ~~
13
A
THAT WAS AN OBJECTIVE YES
14
2
15
A.
ELIMINATE IT FROM WHERE
FROM OCCURRENCE IN THE WORKING POPULATION
16
e
TO YOUR KNOWLEDGE WAS IT OCCURRING IN THE
17
WORKING POPULATION
18
MS ALITO
DO YOU MEAN WORKING
19
POPULATION IN GENERAL OR AT DUPONT
20
BY MR JACOBY
21
Q.
AT DUPONT
THE REST OF THE UNIVERSE HAS NO
22
IMPORTANCE FOR ME THIS MORNING
23
A.
WELL I DON'T KNOW OF ANY INDIVIDUAL CASES
24
OF ASBESTOSIS IN THE DUPONT COMPANY
2
WELL YOU'RE TALKING ABOUT ELIMINATING
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
83
THAT'S ALL I'M DRIVING AT
WHAT DID YOU MEAN
A.
MAYBE I SHOULD HAVE SAID PREVENTING WHICH IS
WHAT OUR OBJECTIVE WAS
2
So IF YOU COULD NOW GO BACK AND TAKE THE
WORD ELIMINATE OUT AND PUT THE WORD PREVENTING --
A.
I WOULDN'T BOTHER
IT'S ONLY A LAWYER WHO
CONCERNS OVER THAT
I THINK MR CROOK GOT THE
MESSAGE I WAS TRYING TO GIVE HIM
Q.
WHY DON'T YOU TELL ME THE MESSAGE YOU WERE
10
TRYING TO GIVE HIM
11
A.
LET'S USE THE MOST EXACT METHOD AVAILABLE TO
12
US TO EVALUATE THE POTENTIAL RISK AND TO PREVENT
13
ASBESTOSIS
14
Q.
50 THEN IN 1969 YOU'RE STILL AT THE STAGE
OF EVALUATING THE POTENTIAL RISK CORRECT
16
A.
DONE IT HADN'T ALL BEEN
17
HAS NOT ALL BEEN DONE
IT PROBABLY STILL
18
Q.
19
A.
I'M JUST ASKING YOU A QUESTION SIR
AND I'M ANSWERING IT
20
Q.
IN 1969 YOU WERE AT THE STAGE OF EVALUATING
21
THE POTENTIAL RISK IS THAT CORRECT
22 23
A.
MORE WORK HAD TO BE DONE
THESE KINDS OF
THINGS ARE DONE ON A CONTINUING BASIS
24
Q.
I UNDERSTAND
NOW LET'S GO TO FEBRUARY
25
2ND 1970 THE NEXT - EXHIBIT AND THIS IS A
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
84
LETTER
MS ALITO
P MORGAN FOR THE
RECORD
BY MR JACOBY
2 A.
I'LL GIVE YOU A CHANCE TO LOOK THROUGH IT ALL RIGHT
Q.
OKAY
A.
I HAVEN'T READ THIS ATTACHMENT THE ASBESTOS
CONFERENCE
I JUST READ THE LETTER
SHALL I GO
10
AHEAD AND FINISH IT
11
Q.
THIS LETTER SIR AM I CORRECT IS AUTHORED
12
BY YOU
13
A.
YES
14
Q.
WHY WAS IT THAT =< AND IT DISCUSSES AN
15 UPCOMING CONOF N AE SBER STOSE DON YOUC RECE ALL
16 THAT CONFERENCE
17
A.
YES
18
Q.
PLTA OOK PLC ACE OE N MAY THE 5TH AND 6TH |
19 COR Te CR OR E RC ECT T IF YOU REMEMBER|
20
A.
21
Q.
YES ABOUT THAT + TIME
WHY WAS IT THAT YOU WERE WRITING ABOUT THIS
22
CONFERENCE
23
A.
GOING BACK TO 4 P MORGAN MORGAN TO
24
ZAPP
25
Q.
IS THAT THE NEW YORKER THING
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
aa
~
am
MORGAN - JACOBY
85
A.
WELL IT MENTIONS THE NEW YORKER
THAT'S
TRIVIAL THOUGH
THE PURPOSE OF THIS MEMO IS TO
RECOMMEND TO DR ZAPP THE DIRECTOR OF HASKELL
LABORATORY THAT CONSIDERATION BE GIVEN TO HOLDING
A CONFERENCE TO COLLECT INFORMATION AND DISTRIBUTE
IT COMPANY
THIS IS A FOLLOW
EVIDENTLY
ZAPP SAID GO AHEAD YOU DO IT
Q.
A.
10
Q.
WHEN DID YOU ASK FOR THAT - CONFERENCE THAT WAS OF NOVEMBER .68
AND IN FEBRUARY OF '70 YOU STARTED PLANNING
11
IT
A.
NO
EVIDENTLY I WAS WORKING ON IT LONG
13
BEFORE THAT
BECAUSE BY FEBRUARY 7TH WE HAD IT
14
ALL PRETTY WELL LINED UP
AND WE HAD A PROPOSED
15 AGENDA
YEAH A LOT OF WORK WENT INTO THE
16
INTERIM
17
Q.
WHAT KIND OF WORK
18
A.
PLANNING CONFERENCE PLANNING
19 20
Q.
TALKING TO INDIVIDUALS ABOUT IT THAT KIND
OF --
21 21
A.
OH YES POTENTIAL SPEAKERS AT THE
22
CONFERENCE
I DEVOTED A LOT OF MY TIME TO THAT
23
PREPARATION FOR THAT CONFERENCE DURING THAT PERIOD
24
IN LATE 1969
Q.
DO YOU KNOW WHY YOU WERE SELECTED TO
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
86
ATE THIS CONFERENCE ? CONFERENCE
I HAD A BROAD KNOWLEDGE OF THE USE AND
THEARDS OF THE USE ASBES HAT D AO WIS DEACQUAINTANCESAHMOINPG PEOPLE IN THEINDUSTRIAL
HYGIENE FIELD WHO WERE KNOWLEDGEABLE ABOUT IT
ANDI DID NOT HAVE THE IMMEDIATE TASK OF GOING OUT
INTO THE PLANTS AND MAKING MEASUREMENTS
RECOMMENDING RESPIRATORS OR THINGS OF THAT SORT
WAS USED I
MORE ON THIS PLANNING LEVEL
10
Q.
YOU HAD DIRECTLY INVOLVED ASBESTOS
11
IN THE PRECEDING YEARS WOULD BE ACCUA R CC A UR T AT E E
12
A.
OH YES
PRIOR TO DUPONT I WAS DOING LOT
13
OF WORK INASBESTOS
14
Q.
WHE WASR THE AT
15
A.
IN THE NAVY
IN
SHIPYARDS
AND
LATER
ON
--
--
16
Q.
WHAT KIND
OFWORK
17
A.
ACTURELY INVESTIGATING INVESTIGATING PLACES ASBESTOS
18
WAS hth SE
AND THE MANNER IN WHICH IT IS BEING
19
'SAFETY PRECATU HAT T I WERO E N BEIS NG
20 TL
21 21
22 EMPLOYERS PRIOR TO DUPONT ANY SAFETY PRECAUTIONS
23
TO BE TAKEN WITH ASBESTOS
24
A.
YES
25
Q.
WHAT SAFETY PRECAUTIONS DID YOU RECOMMEND
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
87
MS ALITO
COULD YOU BE SPECIFIC
ABOUT THE PLACE WHERE YOU RECOMMENDED IT JUST SO
WE HAVE A CLEAR RECORD MR MORGAN AS YOU'RE
ANSWERING THE QUESTION
BY MR JACOBY
Q.
WELL LET'S START WITH THE NAVY
in
A.
WEL IN L THE NAVY I VISITED SHIPYARDS FROM
MIAMI FLORIDA ACROSS THE GULF COAST TO CORPUS
CHRISTI TEXOA N TS HE WEST COAST FROM NATIONA
10 CITY CALIFORNIA ON UP TO EVERETT WASHINGTON
11 AND MANY OF THOSE SHIPYARDS HAD INSULATING SHOPS
12
AND WERE USING TO ASBESTOS INSULAT THEE VESSELS
13
UNDER CONSTRUCTION
ANDI DID FREQUENTLY MAKE
14
RECOMMENDATIAO BONUST THE APPLICATION OF CONTROL
15
MEASURES TO PREVENT THE INHALATION OF ASBESTOS
16
DUST
17
2
18
A.
19
WHAT RECOMMENDATIONS DID YOU MAKE. DOC WAU S M A DE OCN UMET NT THAT WAS PREPARE BD Y
NOGET HARVARD IN 1942 AND SUBSEQUENTLY
20
THE NAVY AND THE MARITIME COMMISSION
21
CALLED MINIMUM STANDARDS FOR HEALTH AND SAFETY IN
22
CONTRACT SHIPYARDS AND IT DEALT WITH RECOGNIZED
23
KNOWN OCCUPATIONAL DISEASES THAT OCCURRED FROM
24
MATERIALS THAT WOULD BE USED IN SHIPYARDS
2
SUCH AS ASBESTOS
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
88
A.
ASBESTOS WAS ONE OF THEM
AND THAT DOCUMENT
ITEMIZED PROTECTIVE MEASURES THAT COULD BE TAKEN
SEGREGATION OF THE WORK WITH ASBESTOS ISOLATION
OR CONTAINMENT WHENEVER POSSIBLE AND THAT'S
POSSIBLY IN LOT OF USES
SECONDLY APPLICATION OF LOCAL EXHAUST
VENTILATIOTN O CAPTURE DUST AT ITS SOURCE AND
DISPOSE OF IT WETTING DOWN OF DUSTY MATERIALS
POTE DUN STY T MATI ERIAA LS L TO PL REVY ENT THE DUST oe
10
OCCURRING IN THE AIR THAT BREATHES RESPIRATORS
11
WHERE THE OTHER METHODS COULD NOT BE EFFECTIVE
12 INDHI AVE V BEEI N OTD HERU INDA IVIDL UAL
13 RECOMTM HATE WEN RE MD ADEA BET CAUI SE O OF CN ERTS AIN
14
SPECIFIC SITUATIONS
15
Q.
WHAT YEARS WERE THIS SIR THAT YOU WERE
16 WITH NAVY
17 A.
18
Q.
143 AND 4
YOU SAID THAT THERE WERE AREAS IN THE
19
SHAUSENDS SHAUSENDS WHORE THE MECHANICAL PROCESSES OF
INGANISH ASBESTOS WERE DONE CUTTING SAWING
THAT KIND OF BUSINESS
A.
YES
Q.
AND WERE THEY TO THE INSTALLIA NST TAL I LAO TIN ON
SHOPS THAT WERE ON THE FACILITIES WHERE THE
CUTTING AND SAWING OF ASBESTOS WAS TAKING PLACE
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
89
TOUR KNOWLEDGE
|
A.
THEY HAVE A LOT OF FACT INO CO R MMS ON
JUST
LIKE CARPENTER WOULD USE A LOT OF THE SAME
TOOLS
Q.
ONLY ONE WAY YOU CAN CUT TRANSITE RIGHT
A.
RIGHT
Q.
AND TO THAT'S CUT IT
A.
THAT'S RIGHT
OBJECTION
10
MS ALITO
I HAVE TO OBJECT TO THE
11
FORM OF THAT QUESTION WHICH I THINK WAS --
12
MR JACOBY
WHAT WAS WRONG WITH THAT
13
QUESTION
14
MS ALITO
THERE'S -- I OBJECT TO
THE FORM OF THAT QUESTION
AND MR MORGAN
16
PLEASE TAKE EACH QUESTION THAT'S ASKED TO YOU AS A
17
SERIOUS QUESTION AND NOT JUST BECAUSE MR JACOBY
18
IS ~- BECAUSE WE'RE IN A RELAXED ATMOSPHERE --
19
THE WITNESS
ALL RIGHT
20
MR JACOBY
I DON'T THINK WE NEED
21
ANY MORE INSTRUCTIONS AT THIS POINT
OKAY
THIS
IS A DEPOSITION
23
24
ONE
THE WITNESS
I'LL TRY TO USE THAT
25
OBJECTION
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
90
MR JACOBY
THE BELL HAS RUNG AND
THIS IS A DEPOSITION AND I'M GOING TO STATE MY
OBJECTION MOST STRENUOUSLY ON THE RECORD THAT YOU
SHOULD NOT HAVE / INSTRUCT MR MORGAN AS I'M
EXAMINING HIM
I'LL INSTRUCT YOU AGAIN IF YOU DON'T
KNOW OR YOU DISAGREE I WANT YOU TO TELL ME
OKAY
I'M NOT HERE TO TRICK YOU OR DECEIVE YOU
I WANT TO KNOW WHAT YOU KNOW MR MORGAN
OKAY
10
MS ALITO
MR JACOBY I HAVE THE
11
SAME END AND I HAVE A CONCERN WHEN I SEE AN
12
INDUSTRIAL HYGIENIST AGREE IN A LIGHTHEARTED WAY
13
THERE'S ONLY WAY TO CUT TRANSITE BOARD
THAT'S
14
NOT HIS AREA OF EXPERTISE
I WANT TO MAKE CERTAIN
15
THAT MR MORGAN CONSIDERS YOUR QUESTIONS AND
16
ANSWERS THEM TO THE BEST OF HIS KNOWLEDGE AND TO
17
THE FULLEST OF HIS KNOWLEDGE
18
MR JACOBY
HE HAS NO AREA OF
19
EXPERTISE IN THIS DEPOSITION
I DON'T MEAN THAT
IN A DISPARAGING WAY
YOU'RE NOT AN EXPERT AS FAR
21
AS I'M CONCERNED
22
BY MR JACOBY
23 24 25
Q.
THESE RECOMMENDATIONS THAT YOU TOLD US ABOUT
THAT YOU MADE WHILE
IN THE NAVY
SIR
--
A.
YES
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
91
Q.
-- DID YOU EVER MAKE ANY OF THESE
RECOMMENDATIONS IN YOUR CAPACITY AS AN INDUSTRIAL HYGIENIST FOR DUPONT
A.
WITH RESPECT TO ASBESTOS EXPOSURES
Q.
YES SIR
A.
I THINK I'VE INDICATED TO YOU BEFORE THAT I
WAS NOT DIRECTLY INVOLVED WITH THOSE KINDS OF
INVESTIGATIONS IN THE DUPONT COMPANY
Q.
BUT YOU'RE AWARE OF WHAT WAS HAPPENING
10
THROUGH ALL THESE DOCUMENTS THAT WE'VE BEEN
11 DISCUSSING THIS MORNING IN REGARD TO ASBESTOS IS
12
THAT CORRECT
13
A.
YES
AND I WAS ALSO AWARE THAT THERE WERE
14
OTHER CAPABLE PEOPLE IN THE DUPONT COMPANY WHO HAD
|
15
DIRECT RESPONSIBILITY
16
Q.
ALL RIGHT
AND DID IT EVER CROSS YOUR MIND
17
OR WERE YOU EVER PROMTPED TO SAY WELL WAIT A
18 MINUTE I'VE HAD SOME EXPERIENCE WITH ASBESTOS
19
LET ME PUT A MEMO OUT AS TO MY THOUGHTS
20
A.
I DON'T RECALL EVER DOING THAT
21
Q.
DO YOU RECALL EVER WANTING TO DO THAT
22
A.
IN A LARGE WAY I DID THAT BY WORKING ON THIS
23
CONFERENCE PUTTING IT TOGETHER AND SO THAT
24
INFORMATION COULD BE SPREAD OUT THROUGHOUT THE
25
COMPANY
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
92
1
2
I UNDERSTAND SIR
BUT MY POINT WHICH IS
2 NOT VERY DIFFICULT TO PERCEIVE WAS THAT THIS
3
CONFERENCE OCCURRED IN 1970.
YOU WORKED FOR THE
4
NAVY IN 1942.
THAT'S A LOT OF TIME
5
A.
WELL THAT KIND OF COMPARISON IS IRRELEVANT
6
TO MY EXPERIENCE IN THE DUPONT COMPANY AND MY
7
SPECIFIC DUTIES
8
MS ALITO
MR MORGAN PLEASE
9
CONFINE YOURSELF TO ANSWERING MR JACOBY'S
10
QUESTION
11
BY MR JACOBY
12 13 14 15 16
Q. THIS CONFERENCE IN 1970 WAS GEARED WAS IT NOT TO ASSESSING THE PROBLEM OF ASBESTOS TO BRING
PEOPLE TOGETHER TO DISCUSS THE PROBLEM A. I THINK YOU CAN GET THE ANSWER TO THAT IN MY LETTER TO ZAPP
17 18 19 20 21 22 23 24 25
Q.
YOUR LETTER TO ZAPP
WELL LET'S CONFINE
OURSELVES TO THE SECOND PAGE OF THIS EXHIBIT
SIR
OKAY
THE FIRST PARAGRAPH AFTER THE QUOTE
YOU MADE AS YOU WELL APPRECIATE ASBESTOS AND
ASBESTOS PRODUCTS ARE WIDELY USED WITHIN THE
DUPONT COMPANY
THERE HAS BEEN A LACK OF A
UNIFIED PROGRAM FOR THE APPRAISAL OF DUSTINESS AND
FOR CONTROLLING THE INHALATION OF ASBESTOS WAS THAT STATEMENT SIR TO YOUR KNOWLEDGE
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
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MORGAN - JACOBY
93
ACCURATE WHEN YOU MADE IT IN 1970 THAT THERE WAS A
LACK OF A UNIFIED PROGRAM FOR THE APPRAISAL OF
DUSTINESS AND FOR THE CONTROLLING OF THE
INHALATION OF ASBESTOS
A.
IT'S TRUE IT WAS TRUE AT THAT TIME
2
DON'T YOU THINK IT WAS KIND OF LATE IN THE
DAY FOR THE LACK OF A UNIFIED PROGRAM
A.
NO NOT IN VIEW OF THE MANNER IN WHICH
DUPONT CONDUCTED ITS BUSINESS
RESPONSIBILITY WAS
10
SPREAD AROUND TO DIFFERENT SITES AND LOCATIONS AND
11
DEPARTMENTS
12
Q.
13
A.
I UNDERSTAND AND THAT WAS NOT ALWAYS A UNIFIED APPROACH
14
TO A PARTICULAR PROBLEM
15 Q.
16
A.
I SEE IN THIS CASE IT SEEMED DESIRABLE TO BRING
17
ABOUT SOME UNIFICATION
18
Q.
AND THIS SIR IS NOTWITHSTANDING THE FACT
19
THAT DR STOPPS HAD STARTED WRITING ABOUT THE
20
HAZARDS OF ASBESTOS TO YOU IN 1965
THIS IS FIVE
21
YEARS LATER
22
A.
IS THAT A QUESTION
23
Q.
YEAH
I STARTED NOTWITHSTANDING THE FACT
24
YOU TOLD ME ABOUT THE DIVERSE DECISION MAKING
25
MECHANISM AND SO ON
AND MY QUESTION TO YOU SIR
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
94
IS ISN'T 1970 A LITTLE LATE IN THE DAY WHEN YOU
RECEIVED WORD FROM DR STOPPS IN 1965 THAT IN HIS OPINION THERE WERE PEOPLE IN TROUBLE
OBJECTION
MS ALITO
OBJECTION ASKED AND
ANSWERED
AND OBJECTION I DON'T THINK DR STOPPS
EVER SAID THERE ARE PEOPLE IN TROUBLE
MR JACOBY
OH HE SAID IT ALL
RIGHT
10 11 12 13 14 15
THE WITNESS
A MATTER LIKE THIS IS
NEVER TAKEN CARE OF IN ONE FELL SWOOP
THE FACT
THAT STOPPS WAS MAKING RECOMMENDATIONS BACK IN
WHATEVER YEAR YOU SAID '65 AND THIS CONFERENCE WAS HELD IN 1970 DOES NOT INDICATE THAT NOTHING
WAS BEING DONE IN THE INTERIM
16
BY MR JACOBY
17 18 19 20
22 23
2
MY WHOLE PURPOSE FOR COMING HERE TODAY WAS
TO FIND OUT WHAT WAS BEING DONE IN THE INTERIM
I
DIDN'T MEAN TO IMPLY NOTHING WAS BEING DONE
IF
YOU LOOK AT THE WORDS IT SAYS THERE WAS NO
UNIFIED PROGRAM FOR THE APPRAISAL OF ASBESTOS
DUST
AND I JUST WANT TO KNOW IF IN 1970 THAT WAS
THE STATE OF THE SITUATION
24
25 25
ANSWERED
MS ALITO
OBJECTION ASKED AND
-
MASTROIANNI & FORMAROLI INC
Professionals Serving Professionals
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MORGAN - JACOBY
95
MR JACOBY
THAT
BY MR JACOBY
YOU DON'T HAVE TO ANSWER
Q
NOW SIR YOU'VE TOLD US BRIEFLY ABOUT YOUR
EXPERIENCES IN THE NAVY AND THE RECOMMENDATIONS
THAT YOU'VE MADE AND SO ON
OKAY
NOW DO YOU
SEE IN THE SECOND PARAGRAPH HERE WHERE IT SAYS
CONCERNING THE WIDESPREAD USE OF ASBESTOS IN THE
DUPONT COMPANY IT IS A FACT THAT IN CHEMICAL
10
PROCESSING ASBESTOS IS ALMOST UBIQUITOUS
DO YOU
11
SEE THAT SIR
12
A.
YES
13
Q.
SO CLEARLY YOU WERE AWARE THAT ASBESTOS WAS
14
BEING USED
15
A.
I WAS
16
Q.
OKAY
SURE
NOW A LITTLE FURTHER DOWN IS
17
WHAT I'M GETTING TO
IS FABRICATED WITHIN SHOPS
18
ON DUPONT PLANTS IS INSTALLED AND EVENTUALLY IS
19
REMOVED
COULD YOU JUST TAKE A MINUTE AND READ
20
THE REST OF THAT PARAGRAPH
21
A.
YES
22
Q.
NOW SIR THIS PARAGRAPH WOULD YOU AGREE
23
SIMPLY CLEARLY INDICATES THAT YOU KNEW THAT PEOPLE
24
WERE RIPPING OUT ASBESTOS IS THAT CORRECT
25
A.
YES
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
96
Q.
AND YOU KNEW THAT THEY MAY BE RIPPING OUT
CROCIDOLITE IS THAT CORRECT
A.
YES
Q
DID YOU EVER RECOMMEND TO ANYONE THAT THE
GUY THAT WAS RIPPING OUT THE CROCIDOLITE BE TOLD WHAT HE WAS DOING DID YOU EVER MAKE THAT
RECOMMENDATION SER
A.
I MADE THAT THROUGH THE PLANNING OF THIS
CONFER SO E THN ATC THE AT KIND OFINFORMATICOON U
10
BE SPREAD WHEREVER IT WAS NEEDED IN THE COMPANY
11
Q.
OKAY
12
A.
I GO AROUAN ROUD ND TO INDIVIDUAL WORKERANSD
13
TELL THEM THAT
14
Q.
DID YOU WRITE A MEMO TO ANY SUPERVISOR
SAYING YOU'VE GOT TO TELL SOMEBODY
16
A.
YEAH TO ZAPP
I SAID LET'S PUT TOGETHER A
17
CONFERENCE AND TELL THEM
18
2
AND WAS IT YOUR PURPOSE IN ASKING FOR THIS
19
CONFERENCE -~ LET ME REPHRASE THAT
20
YOUR PURPOSE IN ASKING THIS
21 CONFERENCE CONFERENCE
22
A.
I THINK IT'S CLEARLY STATED ONE OF THESE
23
IT SEEMS TO ME THAT THE SUBJECT MERITS A
24
SCALE EFFORT ON OUR PART TO BRING TOGETHER
25
THOSE WHO ARE INTERESTED AND CONCERNED WITH THIS
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
97
PROFOR R ASLU ONM G CONFEIR N WE HIN CHC THEE
SUBIECT SUBIECT COULD BE THOROUGHLY REVIEWED BESIDES
HELPING THE PEOPLE THAT HAVE ALREADY MADE
INQUIRIES
IT
WOULD
CONVERGE
OUR
TIME BY
ae
ANTICIPATION OF NEEDS OF OTHERS AND INVITING THEM
add
AM
TO PARTICIPATE IN THE SESSION
Q.
FOR HOW LONG SIR DID YOU BELIETV HAE T THE
SUBJECT MER A SI CAT LBE EffD ort
A.
I DON'T RECALL THE DATE WHEN IT FIRST DAWNED
10
ON ME
11
Q.
GIVE ME SOME PERIOD OF TIME
EARLY 60'S
12
60'S ANY TIME THAT YOU CAN PIN DOWN FOR ME
13
A.
IT WAS SOMETIME PRIOR TO NOVEMBER OF 1968
14
WHICH WAS THE DATE WHEN I WRO THIT S OE UT
Q.
DIDN'T YOU REALLY HAVE THAT OPINION BACK IN ..
16 YOUR DAYS ASBESTOS WASN'T A NEW CONCEPT TO
17
YOU
18
A
OPI DAYN S HADI THE O OPINN ION
19
PROS MRS POTENTIALLY HAZARDOUS MATERIAL THAT
20
REQUIR
CATTENTION CATTENTION
21
Q.
AND YOU MADE CONCRETE PROPOS FOA R L ITS S
22 CONTROL ANDREMOVAL
23
A.
THAT WAS MY JOB
24 25
Q
I UNDERSTAND THAT
SIR I'M NOT IMPUTING
YOU IN ANY WAY
I WANT TO KNOW WHAT YOU KNEW AND
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
98
WHEN YOU KNEW IT
AND YOURECOGNIZBE ACD K IN 42
WHEN YOU WERE IN THE THAT ASBESTOS HAD TO BE
CONTROLLED IS THAT CORRECT
A.
THAT'S CORRECT
Q.
BUT NOW YOU ARE HERE IN 1970 SAYING THIS
SUBJECT MERITS FULL SCALE CONSIDERATION OKAY
A.
YES
Q.
AND ALL I'M TRYING TO DO IS FIND OUT IF IT'S
BETWEEN 42 AND '68
WHEN YOU PINPOINTED IT A
MINUTE AGO WHEN DID YOU COME TO THIS CONCLUSION
THAT THE CONTROL OF ASBESTOS DUST IS A SUBJECT
THAT MERITS FULL SCALE CONSIDERATION
A.
THAT CONCLUSION WOULD HAVE COME ABOUT AS A
RESULT OF MANY DIFFERENT THINGS THAT WERE
HAPPENING AND HAD BEEN BROUGHT TO OUR ATTENTION
16
I DON'T KNOW A DATE
I DON'T KNOW AN EXACT TIME
17
Q.
OKAY
18
A.
THE -- THAT'S ENOUGH
19
Q.
HAD YOU COME TO THE CONCLUSIONS THAT THERE
20
WERE PEOPLE IN THE INSTALLATION SHOPS AT DUPONT
21
WHO WERE DOING PRECISELY AND I USE THE WORD
22
PRECISELY I UNDERSCORE THAT WORD FOR YOU SIR
23
THE SAME THINGS THEY WERE DOING AT The
24
INSTALLATION SHOPS IN THE NAVY
25
A.
THEY WERE NOT THE SAME
MASTROIANNI & FORMAROLI ^ NC Professionals Serving Professionals
MORGAN - JACOBY
99
Q.
AND HOW WERE THEY DIFFERENT
A.
DUPONT HAD A LONG HISTORY OF A VERY
EXTENSIVE SAFETY PROGRAM MAKING USE OF ADVANCE
KNOWLEDGE AND EXPERIENCE
THE SAME WAS NOT TRUE
OF THE CONTRACT SHIPYARDS IN 1942 SO THAT WORKING
CONDITIONS WERE NOT THE SAME
Q.
CAN YOU BE SPECIFIC
A
NO
2
JUST THAT YOUR RELIANCE UPON THE DUPONT
10
STANDARDS AND REPUTATION OR WHATEVER ELSE FOR
11
OCCUPATION -- CONCERN FOR OCCUPATIONAL SAFETY AND
12
HEALTH IS THAT CORRECT
13
A.
THAT'S PART OF IT YEAH
14
Q.
DO YOU KNOW WHAT NAPHTHYLAMINE IS
15
A.
YES
16
Q.
17
A.
WHAT IS IT IT'S AN AROMATIC HYDROCARBON
18
Q.
19
A.
CAPABLE OF CAUSING BLADDER CANCER IT HAS THE ATHINO GROUP IN THE BETA POSITION
20
1 YEAH
21
Q.
AND CAPABLE OF CAUSING BLADDER CANCER
22
A.
YES
23
0
ARE YOU FAMILIAR WITH HOW MUCH BLADDER
24
CANCER IT CAUSES IN DUPONTS
25
A.
NO
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
100
Q.
IF I TOLD YOU SEVERAL HUNDRED WOULD THAT
SOUND RIGHT
A.
I THINK SO
Q.
ARE YOU FAMILIAR AT ALL WITH DUPONT HISTORY
WITH REGARD TO THE SUPPRESSION OF
NAPHTHYLAMINE
OBJECTION
MS ALITO
OBJECTION TO THE FORM OF
THE QUESTION
IT ASSUMES THE FACT THAT ISN'T SO
10
MR JACOBY
I'LL STATE FOR THE
11
RECORD IT ASSUMES A FACT THAT WILL BE PROVEN AT
12
TRIAL
THE RULES SAY I LIVE OR DIE WHEN I ASK THE
13
WITNESS TO ASSUME AND I'M PERFECTLY PREPARED TO DO
14
THAT
15
MS ALITO
IF YOU'D LIKE MR
16
MORGAN TO ANSWER THAT QUESTION WHY DOESN'T THE
17
COURT REPORTER READ IT BACK
18
DESIGNATED QUESTION IS READ
19
THE WITNESS
I'M NOT AWARE OF ANY
20
SUPPRESSION
YOU MEAN CONTROL OF THE RISK
21
BY MR JACOBY
Q.
CONTROL OF THE PEOPLE WRITING AHOUT THE
23
RISK
24
A.
25
Q.
I'M NOT AWARE OF THAT
SO OTHER THAN DUPONT'S REPUTATION FOR
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
10
CONCERN FOR INDUSTRIAL HEALTH AND SAFETY - STRIKE
THAT YOU'VE ANSWERED THAT
NOW SIR LOOKING A LITTLE FURTHER INTO THIS
EXHIBIT I DON'T KNOW HOW ELSE TO DESCRIBE IT TO
YOU I DON'T SEE A PAGE
WHERE IT SAYS ASBESTOS
CONFERENCE ON THE TOP DO YOU SEE THAT
A.
YES
MS ALITO
THERE'S A NUMBER AT THE
BOTTOM
I DON'T KNOW IF IT'S LEGIBLE
10
BY MR JACOBY
11
Q.
IT'S UNDERLINED
IT SAYS ASBESTOS
12
CONFERENCE JUST LIKE THAT
13
A.
YEAH I SEE
14
Q.
AND IF YOU'LL GO DOWN TO WHERE IT SAYS THE
15
PURPOSE OF THE CONFERENCE
16
A.
YES
2
NO ACTUALLY I WANT YOU ON THE NEXT PAGE
18
THE PAGE AFTER THAT SIR
19
A.
20 Q.
LET ME READ THIS WHILE I'M AT IT
YES SURE
21
A.
OKAY
WE'RE DOWN TO PURPOSE OF THE
22
CONFERENCE
23
Q.
YEAH
AND AGAIN NOT TO BELABOR THE POINT
24 SIR BUT IN YOUR OWN WORDS YOURECOGNIZ WHE ATD .-
25
YOU HAD WAS AN INTELLIGENT CONCERN ABOUT THE
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
PROBLEMS OF ASBESTOS SINCE THE DECADE OF ,
102
THAT CONCERN - BEING WITHIN THE MEDICAL
INDUSTRIAL MANAGEMENT LABOR UNIONS
GOVERNMENT AGENCIES INDEPENDENT SCIENTIFIC
INVESTIGATORS IS THAT CORRECT SIR
A.
THAT'S CORRECT OTHERWISE I WOULDN'T HAVE
WRITTIETN
Q.
NOW SIR RIGHT UNDERNEATH THAT YOU HAVE
FIVE SUBJECTS TO BE DISCUSSED AT THE CONFERENCE
10
DO YOU SEE THAT
11
A.
YES
12
Q.
AND THE NEXT LITTLE PARAGRAPH YOU SAY THE
13
CONFERENCE WOULD PRESENT AN EXPOSITION OF THE
14
FIRST FOUR OF THESE ASPECTS
15
A.
YES
16
Q.
NOW THE FIFTH ONE SAYS COMPENSATION OF
17
EMPLOYEES FOR DISEASE PRODUCED BY ASBESTOS
18
INHALATION
WHAT DID YOU MEAN BY THAT
19
A.
UP ABOVE BEFORE WE REACH THE FIVE ITEMS IT
20
SAYS THERE ARE EXPERTS ON EACH OF THE MAJOR
21
ASPECTS OF THE PROBLEM
22
Q.
RIGHT
23
A.
AND COMPENSATION OF EMPLOYEES IS ONE OF THE
24
MAJOR ASPECTS OF ANY IN OCCUPATIONAL DISEASE
PROBLEMS
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
103
Q.
RIGHT
A.
INCLUDING ASBESTOS
Q.
MY QUESTION TO YOU IS - PERHAPS I DIDN'T
ARTICULATE IT
RIGHT UNDERNEATH IT YOU SAID THE
CONFERENCE WOULD PRESENT AN EXPOSTION OF THE FIRST
FOUR OF THESE ASPECTS SO THAT DUPONT NEEDS COULD
BE RECOGNIZED AND DEALT WITH IN A UNIFIED MANNER
BUT YOU DON'T HAVE LIST AS I UNDERSTAND IT
PLEASE CORRECT ME IF I'M WRONG AS FAR AS THE
10
FIFTH ITEM COMPENSATION OF EMPLOYEES WAS NOT TO BE
1
DISCUSSED
12
A.
IT WAS NOT TO BE DISCUSSED
13
Q.
MY QUESTION IS WHY
14
A.
IN A CONFERENCE OF THIS NATURE YOU BRING
15
TOGETHER PEOPLE WHO ARE AN EXPERT IN THEIR FIELD
16
AND THERE'S A LOT OF SIMILARITY IN ITEMS ONE
17
THROUGH FOUR BUT ITEM FIVE WOULBDE HANDLED IN THE
18
DUPONT COMPANY BY AN ENTIRELY DIFFERENT GROUP OF
19
PEOPLE
20
Q.
I SEE
21
A.
THE LEGAL DEPARTMENT AND THE FINANCIAL
22
PEOPLE AND THE MEDICAL
2
I SEE
WHEN YOU SENT THIS OUT ON FEBRUARY
24
THE 2ND 1970 DID YOU HAVE AN OPINION AS TO
25
WHETHER OR NOT COMPENSATION OF EMPLOYEES FOR
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
104
DISEASE PRODUCED BY ASBESTOS INHALATION WAS PART
IN PART OF THE ASBESTOS PROBLEM
A.
YES THAT'S WHAT I JUST SAID
AMONG THE DIFFERENT ASPECTS
I LISTED IT
Q.
IT IS YOUR OPINION THAT THAT WAS THE SUBJECT
THAT MERITED DISCUSSION ALTHOUGH NOT AT THIS
CONFERENCE
A.
NOT AT THIS CONFERENCE RIGHT
Q.
WHEN DID YOU COME TO THAT CONCLUSION THAT
10
COMPENSATION TO BE SECURED FOR EMPLOYEES WAS A
11
SUBJECT THAT NEEDED TO BE DISCUSSED
A.
I DON'T KNOW
13
Q.
SOMETIME PRIOR TO 1970
14
A.
YEAH
IN ALL MY EXPERIENCE IN DEALING WITH
15
OCCUPATIONAL DISEASE COMPENSATION OF AN INJURED
16
EMPLOYEE WAS ALWAYS A FACTOR TO BE CONSIDERED
17
2
AND THEN FURTHER ON DOWN THE PAGE YOU BREAK
18
IT DOWN AN A. AND A B.
IF I'M AHEAD OF YOU TELL
19
ME
I'LL GIVE YOU A CHANCE TO CATCH UP
AND A.
20
TO BE PRESENTED AT THE CONFERENCE AND B. TO BE
21
DISCUSSED BY DUPONT PERSONNEL
22
A.
YES
23
"
AND THEN RIGHT AT THE END OF THE PAGE SIR
24
YOU SAY IT WOULD NOT BE NECESSARY FOR THEM TO
25
PARTICIPATE IN PART B. AND IN FACT ADVANTAGES
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
ARE FORESEEN IN LIMITING ATTENDANCE AT PART B.
/
UNAUTHORIZED DUPONT PERSONNEL
AND PART B. IS ON
THE NEXT PAGE
YOU CAN READ IT FOR YOURSELF
WHAT ADVANTAGES DID YOU FORESEE IN LIMITING PART B. OF THIS CONFERENCE TO AUTHORIZED DUPONT PERSONNEL ONLY
105
A. IN MY CREATIVE EFFORT IN PLANNING THIS
CONFERENCE I DECIDED THAT THE COMPANY WOULD PROFIT
FROM BY BRINGING IN EXPERTS
OUTSIDE WHO HAVE GREAT
10 REPUTATIONS IN DIFFERENT
ASPECTS OF IT
THEY WERE
11
IN PART A. TO IMPART THE
INFORMATION THAT WE
12
REQUESTED OF THEM TO THE
BEST OF THEIR KNOWLEDGE
13 AND THAT THERE WAS TIME FOR DISCUSSION OF WHAT
14 15 16 17 18
THEY SPOKE ABOUT IN PART A.
THERE WAS NO NEED TO
KEEP THOSE EXPERTS HERE ON THIS SITE BEYOND OUR
ACTUAL NEED OF THEM BUT THERE WAS A NEED TO BRING
TOGETHER THE DUPONT PEOPLE TO TALK ABOUT STEPS TO
BE TAKEN TO EXECUTE
RECOMMENDATIONS
19
Q.
PART FOUR OF PART B NUMBER FOUR OF PART B.
20 WHERE IT SAYS MEDICAL STUDIES TO CORRELATE
21 ENVIRONMENTAL CONDITION OF
DUPONT WORKERS
DO YOU
22
SEE THAT PART OF PART B.
THAT'S FOR AUTHORIZED
DUPONT PERSONNEL ONLY WAS TALKING ABOUT
IT WAS AKIN TO WHAT STOPPS
A. SIMILAR TO IT YES
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN ~- JACOBY
106
Q.
AND YOU DON'T KNOW WHAT HAPPENED IN THAT
REGARD BETWEEN WHEN STOPPS TALKED ABOUT IT AND YOU
ASKED THAT IT BE DISCUSSED AT THIS CONFERENCE
A.
THIS MAY HAVE BEEN AN ATTEMPT AT UPDATING
THE APPROACH THAT HAD BEEN WORKED UPON AFTER
STOPPS RECOMMENDATION
Q.
AND WHAT APPROACH WAS THAT
A.
I DON'T KNOW
BUT YOU'RE ASKING ME IF THAT
IS A POSSIBLE REASON WHY THERE WOULD BE A
10
DISCUSSION AT THIS TIME OF SOMETHING THAT HAD BEEN
11
PROPOSED EARLIER
HIS EARLY RECOMMENDATIONS YOU
12
KNOW WERE MADE ON THE BASIS OF KNOWLEDGE THAT WAS
13
NOT AS COMPLETE AS IT WOULD HAVE BEEN IN 1970
14
AFTER THESE EXPERTS CAME AND TALKED TO US
15
Q.
16
A.
WOULD YOU SAY THAT -THEY MAY HAVE HAD SOMETHING TO TELL US THAT
17
NEEDED TO BRING ABOUT A CHANGE IN WHAT WAS BEING
18
DONE
19
Q.
DID YOU PREPARE THESE AGENDA ITEMS YOURSELF
20
SIR
21
A.
I DID
I WOULDN'T SAY THAT I DID IT ALONE
22
I WAS IN CONSULTATION WITH MANY OTHERS
2
AND YOU RECOGNIZED THEN IN 1970 THE NEED FOR
24
MEDICAL STUDIES
25
A.
POSSIBLE NEED YES
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
Q.
POSSIBLE NEED
A.
SURE
Q.
OKAY
PLACE
NOW THIS CONFERENCE IN FACT TOOK
A. THE
YOU NOTICE
INCIDENCE OF
IN PART A. THERE'S AN ASBESTOS DISEASES AND
ITEM
HERE
DISTRIBUTION OF CASES
SO THAT MIGHT HAVE
FURNISHED THE BASIS FOR FURTHER DISCUSSION OF THE MEDICAL APPROACH
10
Q.
NOW
THIS CONFERENCE
TOOK PLACE IN MAY OF
11 1970 IS THAT CORRECT
12
A.
YES
13
Q.
14
A.
AND YOU I THINK
PARTICIPATED IN THE CONFERENCE
I DID
WE DON'T HAVE NAMES OF
15
SPEAKERS HERE
16 17
18
19 20 21
Q.
I THINK YOU SPOKE ON
MINEROLOGY
COME UP IN ONE OF THE LATER
DOCUMENTS
DON'T REMEMBER JUST TELL ME
THAT MAY IF YOU
A.
I REMEMBER
THE CONFERENCES
THIS ONE
BEING ON THE PROGRAM FOR ONE OF I WASN'T SURE WHETHER IT WAS
22
e
MY QUESTIONS NOW ARE ONLY CONFINED TO THE
23
'70 CONFERENCE
24
A.
OKAY
25
Q.
NOT '72 OR 174.
OKAY
WE'LL GET TO IT
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
108
as RECALL SIR THATONE
ATTONS THAT CAME OUT OF THIS 1970
WAS THAT WORKERS WHO WERE EXPOSED TO .,
ASBESTOS BE TOLD THAT THEY WERE AT RISK OF VARIOUS
DISEASES THAT THEY'D BE TOLD IN SUCH A WAY
THAT THERE WOULD NOT BE THE CAUSING OF UNDUE
ALARM
A.
YES 3" RECALL THAT ye
ada ada
Q.
DO YOU RECALL THE DISCUSSIONS LEADING TO
a
TO
10
THAT RECOMMENDATION OF THE CONFERENCE
tl
11
A
NO I DON'T
12 13 14 15 16 17 18
19
20
Q.
IN YOUR MIND WHAT LED YOU TO BELIEVE
AT THIS 1970CONFTE HATR EE XPN OC SEE D TO
ASBESTOS SHOULD NOW BE TOLD THAT THEY WERE IN A
POTENTIALLY HAZARDOUS OCCUPATIONAL ENVIRONMENT
A.
THAT IN GENERAL IS PRINCIPLE IN
HYGIENE HYGIENE THAT AN INFORMED WORKER IS
BETTER ABER PARTIC INI HIP S PA ROTT ECTE ION ON
IF HE'S NOT INFOR TM HAE TD SA
21 22
Q.
HOW LONG HAD YOU HELD THIS PRINCIPLE TO BE
VALID
23
A.
FROM MY EARLY DAYS IN INDUSTRIAL HYGIENE
24
1942
25
Q.
SO WOULD I BE CORRECT SIR IN SAYING IT
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN -- JACOBY
109
WASN'T IN 1970 THAT YOU CAME TO THE CONCLUSION
THAT AN INFORMED WORKER IS BETTER THAN UNINFORMED
A.
NO
Q.
AND IT WAS YOUR CONCLUSION THAT THE WORKER.
BE INFORMED SPECIFIC ASARL EGL ARY D TO ASBESTOS
? EXPOSURE
A.
I THINK I STATED THAT MY RECOMMENDATION
YES
Q.
AND WHAT WAS YOUR KNOWLEDGE SIR AS TO WHAT
10
11
AS OF THE DATE OF THIS CONFERENCE MAY OF 1970
12
A.
I KNEW THAT EFFORTS WERE BEING MADE BUT I
13
DON'T HAVE ANY SPECIFIC RECOLLECTION OF SPECIFIC
14
MEASURES THAT WERE BEING TAKEN AT ANY GIVEN
15
LOCATION
16
Q.
OKAY
NOW I THINK I MAY HAVE SKIPPED AN
17
EXHIBIT HERE
YEAH I'M GOING TO GO TO THE ONE
18
THAT SAYS ASBESTOS CONFERENCE
IT LOOKS LIKE
19
THIS SIR AND IT'S A MEMORANDUM THAT YOU HAVE
PREPARED --
A.
TO REINHARDT
Q.
YEAH TO REINHARDT THAT'S DATED MARCH THE
23
9TH 1970.
IT'S DATED - YEAH AND UNDERNEATH
24
ASHESTOS CONFERENCE IT SAYS CONVERSATION WITH R.T.
25
DE TREVILLE MARCH 4 1970
DO YOU SEE THAT SIR
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
A.
|
Q.
A.
Q.
A.
MORGAN - JACOBY
110
YES
WILL YOU JUST READ ALOUD THE EXHIBIT NUMBER P MORGAN
OKAY YES
DO YOU NEED A MINUTE TO LOOK AT THAT
BRIEF RECESS
BY MR JACOBY
Q.
NOW AS OF THE TIME OF THIS MEMORANDUM
MARCH THE 9TH 1970 MR MORGAN WERE YOU AWARE OF
THE FEDERAL GOVERNMENT'S INVOLVEMENT IN SETTING
STANDARDS FOR CONTROL OF ASBESTOS DUST
A.
NO
Q.
TOWARDS THE BOTTOM OF THE SECOND PARAGRAPH
14
WHERE YOU STATE HE THINKS THAT THIS KIND OF
15
INFORMATION SHOULD BE AVAILABLE IN CONNECTION WITH
16
THE GOVERNMENT'S EXPECTED INTEREST ON OBTAINING
17
DATA IN COMPLIANCE WITH HEALTH AND SAFETY LAWS DO
18
YOU SEE THAT SECOND PARAGRAPH
IT SAYS HE
19
THINKS
20
A.
OH YEAH
KIND OF INFORMATION ..
. IT WAS
21
DURING THAT PERIOD OF TIME THAT CONGRESS HAD
22
BEFORE IT PROPOSALS FOR AN OCCUPATIONAL SAFETY AND
23
HEALTH ACT
AND THAT MAY BE WHAT PROMPTED THIS
24
Q.
IN THE COURSE OF YOUR EMPLOYMENT WITH DUPONT
25
DID YOU INVOLVE YOURSELF AT ALL IN THOSE PROPOSED
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
111
STANDARDS OR IN THE GOVERMENTAL COMMITTEE
DISCUSSIONS CONCERNING THE OCCUPATIONAL SAFETY AND
HEALTH ACT
A.
MY INVOLVEMENT DIDN'T COME UNTIL AFTER THE
ACT WAS PASSED AND MY OBLIGATION OF ADVISING THE
DEPARTMENT OF LABOR ON STANDARDS AND THEN I WAS
CALLED IN
Q.
DID YOU SPEAK IN FAVOR OF STANDARDS OR
AGAINST THEM
10
A.
WHICH ONES
11
Q.
THE STANDARDS THAT WERE IN FACT INITIATED
12
IN 1972
13 14
A.
I BY THAT TIME WAS A PARTICIPANT IN THE
ACGHIT COMMITTEE
AND THAT COMMITTEE AND THE
15
ACGIH STILL HELD STRONGLY TO THE OPINION THAT
16
THESE RECOMMENDED THRESHOLD LIMIT VALUES SHOULD
17
NOT BE ENACTED INTO LAW AND THEY WERE
18
Q.
WAS THAT ALSO YOUR OPINION
19 20 21
A.
IT WAS MY OPINION YES
Q.
AND WHY DID YOU FEEL THAT THEY SHOULD NOT BE
ENACTED INTO LAW
22 23
A.
BECAUSE WHEN THEY WERE ENACTED INTO LAW THEY
IMMEDIATELY BECOME EXACTLY WHAT THEY ARE NOT
24 24
INTENDED TO BE SHARP LINES OF DEMARCATION BETWEEN
25
SAFE AND UNSAFE
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
112
e
SIR IN THE LAST PARAGRAPH OF THIS EXHIBIT
YOU TALK ABOUT THE IHF AND A SEMINAR THAT YOU SAY
I ATTENED ABOUT A YEAR HALF AGO
DO YOU SEE
THAT SIR
A.
YES
Q.
AND A LITTLE FURTHER PART OF THE
PROCEEDINGS I TAKE IT OF THAT SEMINAR CONSISTED
OF AN ADDRESS BY AN EPIDEMIOLOGIST DR ENTERLINE
OF PITTSBURGH
DO YOU SEE THAT
10
A.
YES
11
Q.
12
A.
IN FACT YOU DID ATTEND THAT IHF SEMINAR
YES
13
Q.
14
A.
YOU HEARD DR ENTERLINE SPEAK YES
15
Q.
YOU HEARD DR ENTERLINE GIVE THE RESULTS OF
16
HIS STUDIES CONCERNING ASBESTOS RELATED HEALTH
17
PROBLEMS
18
A.
I DID HEAR HIM
I DON'T RECALL AT THE
19
MOMENT JUST WHAT HE COVERED IN HIS TALK THAT DAY
20
Q.
DO YOU RECALL WHETHER OR NOT HE DISCUSSED IN
21
GREAT DETAIL THE FACT THAT PEOPLE WITH VERY
22
MINIMAL EXPOSURE TO ASBESTOS WERE AT RISK OF
23
DEVELOPING ASBESTOS DISEASE
24
A.
I DON'T HAVE A DISTINCT RECOLLECTION OF WHAT
25
ENTERLINE'S STUDY CONSISTED OF WHAT POPULATION HE
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN -- JACOBY
113
HAD TO WORK WITH
OBVIOUSLY IT WAS SOMETHING
THAT NEEDED TO BE CONSIDERED
Q.
SO YOU DON'T HAVE A PRESENT RECOLLECTION
WHERE IT SAYS THESE DATA SHOULD BE DESCRIBED IN
THE PROCEEDINGS
A.
THAT WOULD BE IN THE IHF PROCEEDINGS
Q.
YEAH
THIS IS AN INDICATION THAT HIGH
EXPOSURE LEVELS FOR FAIRLY BRIEF PERIODS MAY
SUBSEQUENTLY RESULT IN DELETERIOUS EFFECTS
WAS
10
THAT AN OPINION THAT YOU HELD IN 1970 SIR
11
A.
I'M OF THE OPINION NOW THAT THAT WAS
12
ENTERLINE'S OPINION
13
Q.
YES
14
A.
AND THAT I FELT IT WAS WORTHWHILE TO PASS IT
15
ON TO REINHARDT BECAUSE IT CAN'T BE IGNORED
16
Q.
YOU HEARD HIM EXPRESS THAT OPINION WOULD IT
17
BE FAIR TO SAY SOMETIME IN 1978
I'M JUST GOING
18
BACK A YEAR HALF
19 20
A
I THINK SO YEAH
NOW AT MEETINGS OF THIS
TYPE VERY OFTEN YOU'LL HAVE AN INVESTIGATOR STATE
21
SOME RESULTS AND GIVE HIS OPINION OF IT OF THE
MEANING OF THE RESULTS AND THEY'RE NOT IMMEDIATELY
ACCEPTED BY EVERYBODY IN THE HALL
THEY NEEDED
SOME FURTHER QUESTIONING AND INVESTIGATION
SO
THAT THE MERE FACT THAT I PASSED ON WHAT ENTERLINE
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
114
HAD PROPOSED TO REINHARDT DOES NOT INDICATE THAT I
FULLY UNDERSTOOD WHAT HE HAD DONE OR THAT I WAS
FULLY IN FAVOR OF AGREEING WITH HIM
WE CAN'T PUT
TOO MUCH MEANING IN 1986 ON WHAT WAS STATED AT A
MEETING BACK 1968 OF FURTHER STUDY
I'D WANT TO
REVIEW IT AGAIN CERTAINLY
7
Q.
MY QUESTION TO YOU IS THOUGH IT WAS STATED
IN A MEETING THAT YOU PARTICIPATED IN
A.
I'D JUDGE FROM WHATI WROTE HERE THAT'S
10
CORRECT YES IT WAS IT WAS STATED
11
Q.
DID YOU REGULARLY ATTEND MEETINGS AT THE
12
IHF
|
13
A.
PRETTY REGULARLY YEAH
14
Q.
AND WERE THERE MEETINGS OR SEMINARS
15 16 17 18 19 20 21
CONDUCTED BY THE IHF RELATING EXCLUSIVELY TO
ASBESTOS DISEASE TO YOUR KNOWLEDGE
A.
THIS FIBROUS DUST SEMINAR WAS THE NEAREST IT
GOT TO THAT AND IT WASN'T EXCLUSIVELY ASBESTOS
IT WAS ALL A MATTER OF FIBROUS DUST
Q.
WERE YOU PRIVY TO ANY OF THE PUBLICATIONS
THAT WERE SENT OUT BY OF THE IHF
22
A.
I RECEIVED A COPY OF THESE PROCEEDINGS
23
SOMETIME LATER
24
Q.
DID YOU RECEIVE COPIES OF ANY OTHER
25
PROCEEDINGS
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
@ .@.2 2
.| @om .
_
MORGAN - JACOBY
A.
HASKELL LABORATORIES SUBSCRIBED TO -- WERE
MEMBERS OF THE INDUSTRIAL IHF AND RECEIVED THE
MONTHLY INDUSTRIAL HYGIENE DIGEST AND ANY SPECIAL
BULLETINS THAT CAME OUT OF THEIR INVESTIGATION
SO I HAD ACCESS TO THEM
115
Q.
SO YOU HAD ACCESS TO EACH AND EVERY TIME
ASBESTOS STUDIES AND ANYTHING HAVING TO DO WITH
ASBESTOS WOULD BE PUBLISHED BY THE IHF
A.
I HAD ACCESS TO IT
I'M NOT SAYING YOU READ
10
IT ALL
11
Q.
I KNOW I HEAR YOU
ALL RIGHT
LET'S GO TO
12
-- I ONLY HAVE TWO MORE EXHIBITS AND I THINK I CAN
13
DO THEM PRETTY QUICKLY
THE NEXT ONE IS - IT'S
14
DATED APRIL 22ND 1970
THAT'S WHAT THE FRONT
15 16
PAGE LOOKS LIKE
IT HAS A WHOLE LIST OF PEOPLE ON
THE BOTTOM WHO GOT COPIES OF IT
17
A.
THIS IS P MORGAN
18 19 20 21 22
Q.
THIS EXHIBIT IS DATED APRIL 22ND 1970 AND I
REFER YOU TO THE THIRD PAGE OF THE EXHIBIT
AGAIN
I'LL REPRESENT TO YOU THAT IT DEALS WITH THIS MAY
6TH AND 7TH 1970 CONFERENCE THAT WE'VE BEEN
TALKING ABOUT FOR A LITTLE WHILE
23
A.
OH YEAH
24
Q.
ON THE LAST PAGE IT SAYS ASBESTOS
25
CONFERENCE
DO YOU SEE THAT
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
116
A.
YEAH
2
PRELIMINARY
A.
PRELIMINARY PROGRAM
Q.
YEAH
DUPONT COUNTRY CLUB WILMINGTON
DELAWARE
AND IT HAS YOU LISTED SIR AS A
SPEAKER ON QUOTE TYPES OF ASBESTOS MINERALS
UNDERNEATH THAT IT HAS YOUR NAME J.F. MORGAN IS
THAT CORRECT
A.
THAT'S CORRECT
10
Q.
DOES THAT REFRESH YOUR RECOLLECTION SIR AS
11
TO WHETHER OR NOT YOU SPOKE AT THIS CONFERENCE ON
12
THE SUBJECT OF ASBESTOS MINERALS
13
A.
YES I DID
14
Q.
NOW CAN YOU RECALL AT THIS TIME THE NATURE
15
OF YOUR DISCUSSION THE NATURE OF YOUR
16
PRESENTATION
17
A.
YES
NOT BEINGA GEOLOGIST MINERALOLOGIST
18
I HAD TO DO SOME REVIEWING ON THE ASBESTOS
19
MINERALS AND I DID THAT AND GOT SOME ADVICE AND
20
PUT TOGETHER A DESCRIPTION OF THE DIFFERENT
MEMBERS OF THE CLASS OF ASBESTOS MINERALS AND ILLUSTRATED IT WITH SOME PICTURES OF CRYSTALS AND
FIBERS
AND I THINK I ALSO DISCUSSED THE RELATIVE
24
AMOUNTS THAT WERE IN INDUSTRIAL USE IN THIS
25
COUNTRY AT THE PRICE OF STEEL BEING THE MOST
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
117
COMMON
2
DO YOU RECALL THE SOURCES THAT YOU REFERRED
TO GATHER THIS INFORMATION
A.
NO
I CAN VISUALIZE SOME OF THE PAMPHLETS
AND BOOKS THAT I REVIEWED
e
CAN YOU VERBALIZE
A.
I CAN'T VERBALIZE IT NO
Q.
ALL RIGHT
DO YOU STILL HAVE ANY OF YOUR
NOTES FROM THAT MEETING
10
A.
I DON'T THINK SO
11
Q.
DO YOU KNOW WHETHER A TRANSCRIPT WAS MADE OF
12
THAT MEETING WHETHER THERE WAS SOMEONE HERE LIKE
13
THIS YOUNG LADY A STENOGRAPHER
14
A.
I DON'T RECALL THAT WE KEPT A VERBATIM
15
ACCOUNT OF IT
16
Q.
DID YOU HEAR THE OTHER SPEAKERS AT THIS
17
CONFERENCE
WERE YOU IN ATTENDANCE
18
A.
YES I WAS
19 Q.
20
A.
21
Q.
DO YOU RECALL WHAT DR STOPPS REMARKS WERE
NOT SPECIFICALLY
DO YOU KNOW THE AREAS THAT HE DISCUSSED
22
A.
HE PROBABLY REVIEWED RECENT DEVELOPMENTS IN
23
THE KNOWLEDGE OF ASBESTOS AND ITS RELATED
24
DISEASES
25
Q.
SIR IF YOU'LL REFER TO THE NEXT AND THE
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
118
LAST EXHIBIT THAT I'M GOING TO USE NOT THAT ONE
-- IT SAYS NEWPORT DELAWARE AUGUST 25TH 1970
DUPONT LOGO ON THE UPPER LEFT
AND IT'S SIGNED BY
D.F. REDDISH AND SLASH A.D. VOLK
MS ALITO
MARKED EXHIBIT P
MORGAN
THE WITNESS BY MR JACOBY
I SEE IT
Q.
10
A.
DO YOU SEE THAT SIR
YES
11
Q.
NOW IF YOU'LL JUST TURN THE PAGE WHERE IT
12
SAYS GUIDELINES ARE --
13
A.
14
Q.
15
A
GUIDELINES ARE YES
THE SECOND LITTLE DOT THERE OKAY
16
Q.
IT SAYS INFORM EMPLOYEES WORKING WITH
17
ASBESTOS INSTALLATION OF THE RELATED HEALTH
18
PROBLEMS
THIS SHOULD BE HANDLED WITHOUT UNDULY
19
ALARMING PEOPLE
20
DURING THE DECISIONS LEADING UP TO THIS
21
GUIDELINE -- EXCUSE ME
TO THIS GUIDELINE --
THE
DISCUSSIONS
LEADING
|
UP
23
A.
THOSE WOULD HAVE BEEN DISCUSSIONS ON DAY
24
TWO PART B.
25
Q.
THE DUPONT PERSONNEL
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - JACOBY
119
A.
YEAH
AND I DON'T HAVE A DISTINCT
RECOLLECTION OF WHO SAID WHAT
Q.
WAS THERE A CONSENSUS THAT IN FACT
EMPLOYEES WORKING WITH ASBESTOS IN INSULATION BE
TOLD OF THE RELATED HEALTH PROBLEMS
A.
IT PROBABLY WAS
Q.
WAS THAT YOUR FEELING THEN
A.
I WOULD HAVE AGREED WITH THAT FEELING
Q.
AGAIN SIR WHEN IN TERMS OF TIME DID YOU
10
COME TO THE DECISION THAT EMPLOYEES BE TOLD
11
A.
ABOUT ASBESTOS
12
Q.
YES
13
A.
WELL IN THE FIRST PLACE I HAD NO EXACT
14
KNOWLEDGE OF WHO HAD BEEN TOLD AND WHO HAD NOT
BEEN TOLD
BUT AT THAT TIME OF THE CONFERENCE
16
MAY 5TH AND 6TH 1970 IT DID SEEM TO BE
17
WORTHWHILE TO RECOMMEND THAT THOSE WHO HAD NOT
18
BEEN INFORMEBDE INFORMED
19
2
OKAY
AND DID YOU ASSUME AT THAT TIME THAT
20
THERE WERE SOME PEOPLE WHO HAD BEEN INFORMED
21
A.
IT'S HARD FOR ME TO ANSWER THAT QUESTION IN
22
THE TERMS IN WHICH YOU'VE ASKED IT
TO ME IT WAS
23
MORE THAN AN ASSUMPTION
IT WAS KNOWLEDGE THAT AT
24
SOME PLANTS EVERYBODY WAS KEPT PRIVY OF EVERYTHING
THAT WAS EFFECTING THEM IN THE WORK PLACE
I KNEW
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - ALITO
120
FOR A FACT REGARDING SOME PLANTS
Q.
RIGHT
A.
BUT AS I'VE STATED BEFORE THE PROCEDURES
WERE NOT UNIFORM THROUGHOUT THE COMPANY
Q.
YOU SAY SOME PLANTS OF THE DUPONT COMPANY --
A.
YES OF THE DUPONT COMPANY
Q.
-- WERE TOLD OF EVERY POTENTIAL HEALTH
HAZARD THAT THEY WORKED WITH THAT THE COMPANY
KNEW ABOUT
10
A.
YES
11
Q.
PERSONAL KNOWLEDGE SIR DI^
12 YOU OR ANYOND ANYOND YOU KNOW TELL AN INDIVIDUAL BMELOYEE BMELOYEE
13 THAT HE WAS AT RLSKe QE ASBESTOS RELATED RELATED RELATED
14
DISEASE
15
A.
I KNOW NEVER IT PERSONALLY AND I DON'T
16 RECALL KNOWLEDER OF ANYONE ELSE DOING T a. any
17
MR JACOBY THANK YOU THAT'S ALL I
|
|
-
18
HAVE
19
20
QUESTION
MS ALITO I JUST HAVE ONE
21 EXAMINATOIFOMNR MORGAN BY MS ALITO
22
Q.
IN MR JACOBY'S LAST QUESTION TO YOU MR
23 MORGAN HE USED THE TERM DUPONT EMPLOYEE AND
24
YOU RESPONDED TO THAT QUESTION AND I'D LIKE YOU
25
TO TELL US FOR THE RECORD HOW IN THE CONTEXT OF
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - ALITO
121
THAT QUESTION YOU DEFINE THE PHRASE DUPONT
EMPLOY IN QUOTATIONS
MAYBE TO GIVE YOU AN IDEA OF WHAT I'M
GETTING AT ARE YOU INCLUAD LLIPEN OPG LE WHO ARE
ON THE PAYROLL OFDUPOANSTA DUPONT EMPLOYEE THE CONTEXT THAT QUESTION FROM THE MEMBER OF
THE BARGAINING UNIT WHO'S WORKOI UTNG OF OF THE
PLANT UP TO THE PRESIDEONR T THE CONTEXT
OF YOURANSW TOE THR AT QUESTION WERE DEFINING
10
AN EMPLOYEE AS JUST THE WORKER OR SOMETHING IN
11
BETWEEN
12
A.
AS I RECALL THE QUESTION IT DEALT WITH
13 WHETHER I HAD PERSONAL KNOWLEDGE OFMYSELF ~
14
INFORMING AN EMPLOYEE OF THE DUPONT COMPANY OR
15
KNOWLEDGE OF SOMEONE ELSE INFORMING AN EMPLOYEE OF
16
THE DUPONT COMPANY OF THE RISKS OF ASBESTOS
17
MR JACOBY
AND I WILL DEFINE FOR
18
YOU EMPLOYEE IF I MAY TO HELP CLEAR UP THE
19
QUESTION
20
THE WITNESS
FIRST OF ALL LET ME
21
ANSWER THIS QUESTION
WHAT I HAD IN MIND WHEN I
22
ANSWERED THAT I DID NOT PERSONALLY INFORM AN
23
EMPLOYEE AND I DID NOT KNOW OF ANOTHER PERSON
INFORMING AN EMPLOYEE I WAS THINKING OF WAGE ROLE
25
WORKERS
THAT WOULD EXCLUDE TECHNICAL PEOPLE
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals
MORGAN - ALITO
122
MEDICAL DOCTORS LAWYERS AND SUPERVISORS
MS ALITO
THANK YOU
THE WITNESS
DOES THAT ANSWER YOUR
QUESTION
MS ALITO
I DIDN'T MEAN TO CUT YOU
OFF
THE WITNESS
YOU SAID YOU WERE GOING
TO DEFINE IT FOR US
IF IT'S NOT NECESSARY
ANYMORE --
10
MR JACOBY
LET'S COMPLETE THE
11
THOUGHT
MY QUESTION TO YOU WAS NOT WHO WAS DOING
12
THE TELLING BUT WHO WAS BEING TOLD AND I SAID
13
DUPONT EMPLOYEE
AND JUST TO BE CLEAR WHEN I SAY
14
DUPONT EMPLOYEE IN THE CONTEXT OF THIS QUESTION I
15
MEAN FROM THE PRESIDENT OF THE COMPANY DOWN
IS
16
ANY EMPLOYEE TOLD
17
THE WITNESS
OH ABSOLUTELY
THE
18
WHOLE ROOM OF PEOPLE AT THE CONFERENCE WERE TOLD
19
MR JACOBY
WAS ANYBODY OTHER THAN
20
THE PEOPLE IN THAT CONFERENCE TOLD
21
THE WITNESS
THE PEOPLE WHO WERE AT
22
THE CONFERENCE WERE THERE SO THAT THEY COULD TAKE
23
THE MESSAGE BACK TO THEIR PLACES OF WORK AND PASS
24
IT
25
MR JACOBY
OKAY
THAT'S ALL I WANT
MASTROIANNI & FORMAROLI INC
Professionals Serving Professionals
TO KNOW
MORGAN - ALITO
WITNESS EXCUSED DEPOSITION CONCLUDED
123
10 11 12 13 14 15 16 17 18 19 20 21
23 24 25
MASTROIANNI & FORMAROLI INC
Professionals Serving Professionals
124
CERTIFICAT CERTE IFICATE I ARGIA M. GRANT A NOTARY PUBLIC AND
CERTIFIED SHORTHAND REPORTER OF THE STATE OF NEW JERSEY AND A COMMISSIONER OF DEEDS OF THE STATE OF PENNSYLVANIA DO HEREBY CERTIFY THAT PRIOR TO THE COMMENCEMENT OF THE EXAMINATION
JAMES F. MORGAN
WAS DULY SWORN BY ME TO TESTIFY TO THE TRUTH
10 11 12 13
THE WHOLE TRUTH AND NOTHING BUT THE TRUTH I DO FURTHER CERTIFY THAT THE FOREGOING IS
A TRUE AND ACCURATE TRANSCRIPT OF THE TESTIMONY AS TAKEN STENOGRAPHICALLY BY AND BEFORE ME AT THE TIME PLACE AND ON THE DATE HEREINBEFORE SET
14
FORTH
15
I DO FURTHER CERTIFY THAT I AM NEITHER A
NOR NOR ATTORNEY NOR COUNSEL OF
16 RELATIVE EMPLOYEE
17 ANY OF THE PARTIETSO THIS ACTION AND THAT I AM
18
NEITHER A RELATIVE NOR EMPLOYEE OF SUCH ATTORNEY
19
OR COUNSEL AND THAT I AM NOT FINANCIALLY
20
INTERESTED IN THIS ACTION
21
ARGIAMant NOTARY
GRANT
PUBLIC
STCA.TSE.CR.S.R.
OF
NEW
JERSEY
MY COMMISSION EXPIRES 10-5-91
CERTIFICATE NO XIO1221
DATE NOVEMBER 11 1986
MASTROIANNI & FORMAROLI INC Professionals Serving Professionals