Document VJyXxJN2wJNbmn7XzXzYRpEJK
trade associations of which Abex was member, would have been funded out of dues payable by each member company or corpora tion.
49.
Please state the names and addresses of the
organizations or groups conducting the studies referred to in
answer to Interrogatory 48.
ANSWER:
See Response to Interrogatory No. 48.
50. Please state whether the defendant has a depart ment, division or section devoted to scientific and/or medical research during the period from 1936 until the present time. If so, please state when it was first formed.
ANSWER:
Abex objects to this Interrogatory on the
following grounds*.
1. Overly Broad
2. Improper Assumption
Without waiving these objections, Abex states that it has never
established or maintained any such departments devoted exclus
ively to asbestos-related disease research.
51.
Please state the scientific or medical periodi
cals to which the defendant, its medical department or industri
al hygiene division subscribed during the period between 1930
and 1982 specifying the date such subscriptions were begun and
terminated.
ANSWER:
Abex objects to this Interrogatory on the
grounds that it is repetitive. Without waiving this objection,
see Response to Interrogatory No. 45.
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