Document a1dBGL4755kY5nBz0bmmM9Y6M
No. 87-16080-E
KAREN ELAINE KNAPP, Executrix and Personal Representative of the Heirs and Estate of GEORGE R. HALL, SR., Deceased, BESSIE M. WILLIAMS, Individually and as Personal Representative of the Heirs and Estate of ALTON WILLIAMS, Deceased, MARY E. MAY, Individually and as Personal Representative of the Heirs and Estate of WILLIE J. MAY, ROBERT E. MALONE, SR. and IRMA MALONE, RAYMOND R. ORR and LYDIA ORR,
VS.-
ARMSTRONG WORLD INDUSTRIES, INC., ET AL '
S*
$
IN THE DISTRICT COURT OF
DALLAS COUNTY, TEXAS 101ST JUDICIAL DISTRICT
DEFENDANT. OWENS-CORKING FIBERGLAS CORPORATION'S, ANSWERS TO PLAINTIFFS1 FIRST 8ET OF INTERROGATORIES
TO THE HONORABLE JUDGE OF SAID COURT:
Now comes OWENS-CORNING FIBERGLAS CORPORATION, Defendant, and
makes and files this its Answers to Plaintiffs' First Set of
interrogatories.
Respectfully submitted,
BAILEY AND WILLIAMS
C. EDWARD FOWLER, JR. State Bar No. 07328000
3500 NCNB Plaza, 901 Main Dallas, Texas 75202-3714 214/939-3300
ATTORNEY FOR DEFENDANT,
OWENS-CORNING
FIBERGLAS
CORPORATION
DEFENDANT. OWENS-CORNING FIBERGLAS CORPORATION'S, ANSWERS TO PLAINTIFFS* FIRST SET OF INTERROGATORIES
Page 1
CERTIFICATE OP SERVICE This is to certify that a copy of the foregoing pleading has been forwarded to all counsel of record on this the /^/ day of January, 1990.
DEFENDANT, OWENS-CORKING FIBERQLA8 CORPORATION'S, ANSWERS TO PLAINTIFFS1 FIRST SET OF INTERROGATORIES
NO. 87-16080-E
KAREN ELAINE KNAPP, Executrix and Personal Representative of the Heirs and Estate of GEORGE R. HALL, SR., Deceased, BESSIE M. WILLIAMS, Individually and as Personal Representative of the Heirs and Estate of ALTON WILLIAMS, Deceased, MARY E. MAY, Individually and as Personal Representative of the Heirs and
Estate of WILLIE J. MAY, ROBERT E. MALONE, SR. arH TPMa mitomp
RAYMOND R. ORR ar
' PI
r'-
v.
ARMSTRONG WORLD 1 INC., et al.
De
) ) ) ) ) ) ) ) ) )
)
\
IN THE DISTRICT COURT DALLAS COUNTY, TEXAS
OWENS ANSWERS TO P
On December six Interrogator!
\c /C
/J
<? ' .I ~
* .te*/W ^ ^ m4 k?
Corporation (OCF). Subject to the following statement, OCF
responds to plaintiffs' Interrogatories as follows.
INTRODUCTORY. .STATEMENT OCF makes the following answers without in any way waiving: (1) the right to object on the grounds of competency, relevancy and materiality, hearsay (except as expressly admitted herein) or any other proper ground to the use of any such information, for any purpose, in whole or in part, in any subsequent stage or proceeding in this action or any other action; and (2) the right to object on any and ail grounds, at any time, to any other
discovery procedure involving or relating to the subject matter of these requests.
OCF objects to these interrogatories to the extent that they describe information which is protected from discovery as attorney work product, attorney-client communication, protected by the right to privacy, or as material which is considered to be proprietary and trade secret.
All of the answers set forth below are made subject to the above comments and qualifications.
OCF'S ANSWERS The following documents are identified by the Exhibit Number, Description, and Bates Number used by the plaintiffs in their Interrogatories. In INTERROGATORY NO. 1. plaintiffs request that, for each document, OCF answer whether such document is a true and correct duplicate of a genuine and authentic document. In INTERROGATORY NO. 2. plaintiffs request that OCF answer whether each document was kept and/or generated in the regular course of a regularly conducted business activity of OCF. In answering Interrogatory No. 2, OCF has defined "kept . . . in the regular course" as kept at any time in the regular course of business at OCF. OCF responds to plaintiffs' Interrogatories Nos. 1 and 2 as follows:
EXHIBIT NO. (a) K-168(a)
DESCRIPTION ."Special Hazards Survey,
Dust Survey," prepared for
BATS? NVMB63 42 007 0001-0007
2
Owens-Illinois Kaylo Division, Berlin, NJ, dated April 23, 1958 and May 2, 1958 ANSWERS INTERROGATORY NO. 1: OCF objects to this Interrogatory on the ground that this document was produced by OCF pursuant to an Order entered on November 3, 1989 by Judges Riley and Magg in Jamison v. Anchor Packing Co., et al., pending in the Circuit Court for Madison County, Illinois, after an in camera review of this document for claims of privilege that had been asserted by OCF. OCF maintains that this document is privileged from discovery and that its claim of privilege has not been waived by compliance with orders entered by Judges Riley and Magg. The ruling of those judges upon in camera inspection of this document is not applicable in these proceedings because the ruling was made under the Illinois law of privilege. Without waiving this and other objections, OCF admits that this document is a true and correct duplicate of a document found in OCF's files, except insofar as this document contains marginalia, exhibit stickers, production records, handwriting and other marks.which do not appear on the original of this document. INTERROGATORY NO. 2: OCF objects to this Interrogatory on the ground that this document was produced by OCF pursuant to an Order entered on November 3, 1989 by Judges Riley and Magg in Jamison v. Anchor Packing Co., et al.. pending in the Circuit Court for Madison County, Illinois, after an in camera review of this document for
3
claims of privilege that had been asserted by OCF. OCF maintains that this document is privileged from discovery and that its claim of privilege has not been waived by compliance with orders entered by Judges Riley and Magg. The ruling of those judges upon in camera inspection of this document is not applicable in these proceedings because the ruling was made under the Illinois law of privilege.
Without waiving this and other objections, OCF admits that this document was kept in its files in the ordinary course of its business. OCF, however, denies that this document was generated in the course of a regularly conducted business activity of OCF.
EXHIBIT NO. (b) K-179
DESCRIPTION
Memo, F.H. Edwards to C. G. Staelin, August 12, 1964 (Owens-Corning document)
BATES NUMBER 01 029 0398
ANSWERS
INTERROGATORY NO. 1:
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document.
INTERROGATORY.NO, 2;
OCF admits that this document was kept in its files in the
ordinary course of its business. OCF, however, denies that this
document was generated in the course of a regularly conducted
business activity of OCF.
4
EXHI3IT NO. (c) K-184
DESCRIPTION Memorandum from W. c. Taylor to R. L. Logan, re: Kayio Insulation Composition, dated January 8, 1965
Jr.
BATES NUMBER 01 008 1371
ANSWERS
INTERROGATORY NO. 1:
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document.
INTERROGATORY NO. 2:
OCF admits that this document was generated and kept in its
files in the course of the regularly conducted business of OCF.
EXHIBIT NO. (d) K-187
.
ANSWERS
DESCRIPTION Memorandum from Wayne Johnson to C. G. Staelin re: Health Hazards, dated October 27, 1966
BA_T_E-5__NUMBER 01 036 0813-0814
INTERROGATORY NO. 1:
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document.
INTERROGATORY NO. 4:
OCF admits that this document was generated and kept in its
files in the course of the regularly conducted business of OCF.
5
EXHIBIT MO. (e) K-194
DESCRIPTION
Memorandum from R. F. Shannon to W. c. Taylor with article titled "Asbestos of the Lungs, March 4, 1967
BATES NUMBER 01 009 0302-0303
ANSWERS
INTERROGATORY NO. 1:
OCF objects to this Interrogatory on the ground that this
document is, in part, unreadable. Notwithstanding this
objection, OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document.
INTERROGATORY NO. 2:
OCF admits that this document was kept in its files in the
ordinary course of its business. OCF, however, denies that this
document was generated in the course of a regularly conducted
business activity of OCF.
EXHIBIT-MO,(f) K-206
DESCRIPTION Memorandum from Jon L. Konzen to Tom Dailey
re: Health Aspects of
Fibrous Glass, dated
April 28, 1969
BATES NUMBER 01 117 0084
ANSWERS
INTERROGATORY NO. 1:
-
OCF objects to this Interrogatory on the ground that this
document was produced by OCF pursuant to an Order entered on
6
November 3, 1989 by Judges Riley and Magg in Jamison v. Anchor Packing Co., et al., pending in the Circuit Court for Madison County, Illinois, after an in camera review of this document for claims of privilege that had been asserted by OCF. OCF maintains that this document is privileged from discovery and that its claim of privilege has not been waived by compliance with orders entered by Judges Riley and Magg. The ruling of those judges upon in camera inspection of this document is not applicable in these proceedings because the ruling was made under the Illinois law of privilege.
Without waiving this and other objections, OCF admits that this document is a true and correct duplicate of a document found in OCF's files, except insofar as this document contains marginalia, exhibit stickers, production records, handwriting and other marks which do not appear on the original of this document. INTERROGATORY NO. 2:
OCF objects to this Interrogatory on the ground that this document was produced by OCF pursuant to an Order entered on November 3, 1989 by Judges Riley and Magg in Jamison v. Anchor Packing Co., et al.. pending in the Circuit Court for Madison County, Illinois, after an in camera review of this document for claims of privilege that had been asserted by OCF. OCF maintains that this document is privileged from discovery and that its claim of privilege has not been waived by compliance with orders entered by Judges Riley and Magg. The ruling of those judges upon in camera inspection of this document is not applicable in
7
these proceedings because the ruling was made under the Illinois
law of privilege.
Without waiving this and other objections, OCF admits that
this document was generated and kept in its files in the course of the regularly conducted business of OCF.
EXHIBIT NO. (f) K-277
ANSWERS
DESCRIPTION
BATES NUMBER
Owens-Corning Fiberglas
01 500 0037-0038
Corp. Intra-Company
Correspondence to C. G. Staelin
from T. S. Rogers. Subject:
Mr. Marshall's memorandum on
Itch Propaganda, dated
January 30, 1940 (Two pages)
INTERROGATORY NO. 1:
OCF objects to this Interrogatory on the ground that this
document was produced by OCF pursuant to an Order entered on
November 3, 1989 by Judges Riley and Magg in Jamison v. Anchor
Packing Co., et al., pending in the Circuit Court for Madison
County, Illinois, after an in camera review of this document for
claims of privilege that had been asserted by OCF. OCF maintains
that this document is privileged from discovery and that its
claim of privilege has not been waived by compliance with orders
entered by Judges Riley and Magg. The ruling of those judges
upon in camera inspection of this document is not applicable in
these proceedings because the ruling was made under the Illinois
law of privilege.
Without waiving this and other objections, OCF admits that
this document is a true and correct duplicate of a document found
in OCF's files, except insofar as this document contains
marginalia, exhibit stickers, production records, handwriting and
8
other marks which do not appear on the original of this document. INTERROGATORY NO. 2:
OCF objects to this Interrogatory on the ground that this
document was produced by OCF pursuant to an Order entered on
November 3, 1989 by Judges Riley and Magg in Jamison v. Anchor
Packing Co., et al., pending in the Circuit Court for Madison
County, Illinois, after an in camera review of this document for
claims of privilege that had been asserted by OCF. OCF maintains
that this document is privileged from discovery and that its
claim of privilege has not been waived by compliance with orders
entered by Judges Riley and Magg. The ruling of those judges
upon in camera inspection of this document is not applicable in
these proceedings because the ruling was made under the Illinois
law of privilege.
Without waiving this and other objections, OCF admits that
this document was kept in its files in the ordinary course of its
business. OCF, however, denies that this document was generated
in the course of a regularly conducted business activity of OCF.
EXHIBIT NO. <g) K-278
DESCRIPTION Draft of Health Hazards
of Fiberglas dated May 15, 1941
BATES NUMBER 01 501 1097-1107
ANSWERS
INTERROGATORY NO. 1:
OCF objects to this Interrogatory on the ground that this
document is incomplete. Based on the foregoing, OCF denies this
Interrogatory.
INTERROGATORY NO. 2:
9
OC.F objects to this Interrogatory on the ground that this
document is incomplete. Interrogatory.
Based on the foregoing, OCF denies this
EXHIBIT NO. (h) K-279
DESCRIPTION
Draft of Introduction for Mailing Piece on Health Aspects of Fiberglas, dated June 12, 1941
BATES NUMBER 01 501 0849
ANSWERS
INTERROGATORY NO. 1;
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document.
INTERROGATORY NO. 2:
OCF admits that this document was generated and kept in its
files in the course of the regularly conducted business of OCF.
EXHIBIT NO. (i) K-280
DESCRIPTION Letter from Jerome J. Gelman to Union Asbestos & Rubber Co., dated December 7, 1954, re: 15 workers who have contracted pneumoconiosis
BATES NUMBER 01 076 0677
ANSWERS
INTERROGATORY. NO. 1:
OCF objects to this Interrogatory on the ground that this
document was produced by OCF pursuant to an Order entered on
November 3, 1989 by Judges Riley and Magg in Jamison v. Anchor
Packing Co., et al., pending in the Circuit Court for Madison
County, Illinois, after an in camera review of this document for
10
claims of privilege that had been asserted by OCF. OCF maintains that this document is privileged from discovery and that its claim of privilege has not been waived by compliance with orders entered by Judges Riley and Magg. The ruling of those judges upon in camera inspection of this document is not applicable in these proceedings because the ruling was made under the Illinois law of privilege.
Without waiving this and other objections, OCF admits that this document is a true and correct duplicate of a document found in OCF's files, except insofar as this document contains marginalia, exhibit stickers, production records, handwriting and other marks which do not appear on the original of this document. INTERROGATORY NO. 2:
OCF objects to this Interrogatory on the ground that this document was produced by OCF pursuant to an Order entered on November 3, 1989 by Judges Riley and Magg in Jamison v. Anchor Packing Co., et al.. pending in the Circuit Court for Madison County, Illinois, after an in camera review of this document for claims of privilege that had been asserted by OCF. OCF maintains that this document is privileged from discovery and that its claim of privilege has not been waived by compliance with orders entered by Judges Riley and Magg. The ruling of those judges upon in camera inspection of this document is not applicable in these proceedings because the ruling was made under the Illinois law of privilege.
Without waiving this and other objections, OCF admits that this document was kept in its files in the ordinary course of its
11
business. OCF, however, denies that this document was generated
in the course of a regularly conducted business activity of OCF.
EXHI3IT NO. (j) K-281
DESCRIPTION
Pages 2 and 3 of a letter to Jerome Gelman, Esq., re: Matthew Gross; with
attachment: two page medical report on Matthew Gross; studied December 17, 1954
BATES NUMBER 01 076 1096-1099
ANSWERS
INTERROGATORY NO. 1:
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document. INTERROGATORY NO. 2:
OCF admits that this document was kept in its files in the ordinary course of its business. OCF, however, denies that this
document was generated in the course of a regularly conducted business activity of OCF.
EXHIBIT NO. (k) K-282
DESCRIPTION Two page letter to Jerome Gelman from Irving J. Selikoff, M.D. re: John W. Peterson with attachment: three page medical report on John w. Peterson,
studied January 5, 1955
BATES NUMBER 01 076 0947-0951
answers
INTERROGATORY NO. 1:
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
12
records, handwriting and other marks which do not appear on the original of this document. INTERROGATORY NO. 2:
OCF admits that this document was kept in its files in the ordinary course of its business. OCF, however, denies that this
document was generated in the course of a regularly conducted
business activity of OCF.
EXHIBIT NO. (l) K-283
DESCRIPTION
Two page letter to Jerome Gelman, Esq. from Irving J. Selikoff, M.D., dated March 11, 1955, with attachment: 3 page medical report on Joseph Pignatelli
ANSWERS
BATES NUMBER 01 076 0992-0996
INTERROGATORY NO. 1:
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the original of this document.
INTERROGATORY NO. 2:
OCF admits that this document was kept in its files in the
ordinary course of its business. OCF, however, denies that this
document was generated in the course of a regularly conducted
business activity of OCF.
EXHIBIT NO. (m) K-284
DESCRIPTION Two page letter to Jerome
Gelman from Irving J. Selikoff, M.D., dated April 13, 1955, with attachment: 3 page medical report on Martin Ragauskas
BATES NUMBER 01 076 1111-1115
13
ANSWERS INTERROGATORY NO. 1;
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document.
INTERROGATORY NO. 2:
OCF admits that this document was kept in its files in the
ordinary course of its business. OCF, however, denies that this
document was generated in the course of a regularly conducted
business activity of OCF.
.
SXHIBIT PQ. (n) K-285
DESCRIPTION Notice that Nicholas Cotsakos has contracted a compensable occupational disease to claim agents for Union Asbestos & Co. from Dominic Cavaliore, dated April 14, 1955
BATES. NUMBER 01 076 0664
ANSWERS
INTERROGATQBT_NO_,, 1:
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document.
INTERROGATORY NO. 2:
OCF admits that this document was kept in its files in the
ordinary course of its business. OCF, however, denies that this
14
document was generated in the course of a regularly conducted
business activity of OCF.
EXHIBIT NO. (o) K-286
DESCRIPTION Three page letter to Jerome Gelman, Esq. from Irving J. Selikoff, M.D., dated May 23, 1955, with attachment: 2 page medical report on Wallace Sisco
BATES NUMBER 01 076 0983-
ANSWERS
INTERROGATORY NO. 1:
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document.
INTERROGATORS NQ_. 2:
OCF admits that this document was kept in its files in the
ordinary course of its business. OCF, however, denies that this
document was generated in the course of a regularly conducted
business activity of OCF.
EXHIBIT NO. (p) K-287
ANSWERS
DESCRIPTION
Three page letter to Jerome Gelman from Irving J. Selikoff, M.D., dated October 27, 1955, with attachment: 4 page medical report on Anthony
Francello
BATES NUMBER 01 076 0952-0958
'
INTERROGATORY NO. 1;
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
15
records, handwriting and other marks which do not appear on the original of this document. INTERROGATORY NO. 2:
OCF admits that this document was kept in its files in the ordinary course of its business. OCF, however, denies that this
document was generated in the course of a regularly conducted
business activity of OCF.
EXHIBIT NO. (q) K-288
DESCRIPTION Three page letter to Jerome Gelman from Irving J. Selikoff, M.D.,
dated October 27, 1955, with attachment: 3 page
medical report on Henry
Stuart
BATES NUMBER 01 076 0961-0966
answers
INTERROGATORY NO. 1:
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document.
INTERROGATORY NO. 2i
OCF admits that this document was kept in its files in the
ordinary course of its business. OCF, however, denies that this
document was generated in the course of a regularly conducted
business activity of OCF.
EXHIBIT NO. (r) K-289
DESCRIPTION
BATfiS-MHMBEK
Three page letter^to
01 076 1088-1093
Jerome Gelman from
Irving J. Selikoff, M.D.,
dated December 9, 1955,
with attachment: 3 page
medical report on Jesus Perez
16
ANSWERS
INTERROGATORY NO. 1;
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document.
INTERROGATORY NO. 2:
OCF admits that this document was kept in its files in the
ordinary course of its business. OCF, however, denies that this
document was generated in the course of a regularly conducted
business activity of OCF.
EXHIBIT. -N_0_. (s) K-290
ANSWERS
DESCRIPTION Four page report to M.D. Burch from G.w.h. Schepers, M.D., D.Sc. re: current experimentation on Fiberglas, dated February 6, 1956
BATES 1NUMBER 01 501 1573 01 501 1314 01 501 1315 01 501 1577
INTERROGATORY NO. 1:
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document, interrogatory no 2;
OCF admits that this document was kept in its files in the
ordinary course of its business. OCF, however, denies that this
document was generated in the course of a regularly conducted
business activity of OCF.
EXHIBIT NO.
DESCRIPTION
BATES NUMBER
17
(t) K-291{a) ANSWERS
Owens-Corning Fibergias Corp. Intra-Company correspondence to Dr. Charles Bishop - Newark (Medical Dept.) from John D. Black - Toledo, dated February 8, 1956
01 501 1312
INTERROGATORY NO. 1:
OCF objects to this Interrogatory on the ground that this
document was produced by OCF pursuant to an Order entered on
November 3, 1989 by Judges Riley and Magg in Jamison v. Anchor Packing Co., et al.. pending in the Circuit Court for Madison
County, Illinois, after an in camera review of this document for claims of privilege that had been asserted by OCF. OCF maintains
that this document is privileged from discovery and that its
claim of privilege has not been waived by compliance with orders
entered by Judges Riley and Magg. The ruling of those judges
upon in camera inspection of this document is not applicable in
these proceedings because the ruling was made under the Illinois law of privilege.
Without waiving this and other objections, OCF admits that
this document is a true and correct duplicate of a document found
in OCF's files, except insofar as this document contains
marginalia, exhibit stickers, production records, handwriting and
other marks which do not appear on the original of this document.
INTERROGATORY NO. 2:
OCF objects to this Interrogatory on the ground that this
document was produced by OCF pursuant to an Order entered on
November 3, 1989 by Judges Riley and Magg in Jamison v.A._P_.
18
Green, et al., pending in the Circuit Court for Madison County, Illinois, after an in camera review of this document for claims of privilege that had been asserted by OCF. OCF maintains that this document is privileged from discovery and that its claim of privilege has not been waived by compliance with orders entered by Judges Riley and Magg. The ruling of those judges upon in camera inspection of this document is not applicable in these proceedings because the ruling was made under the Illinois law of privilege.
Without waiving this and other objections, OCF admits that this document was generated and kept in its files in the course of the regularly conducted business of OCF-.
exhib.it NO. (u) K291(b)
DESCRIPTION Owens-Corning Fiberglas Corp. correspondence to M.D. Burch - Toledo from John D. Black - Toledo
BATES NUMBER 01 501 1316.05
INTERROGATORY NO. 1; OCF objects to this Interrogatory on the ground that this
document was produced by OCF pursuant to an Order entered on November 3, 1989 by Judges Riley and Magg in Jamison v. A.P. Green, et al.. pending in the Circuit Court for Madison County, Illinois, after an in camera review of this document for claims of privilege'that had been asserted by OCF. OCF maintains that this document is privileged from discovery and that its claim of privilege has not been waived by compliance with orders entered by Judges Riley and Magg. The ruling of those judges upon ia camera inspection of this document is not applicable in these
19
proceedings because the ruling was made under the Illinois law of privilege.
Without waiving this and other objections, OCF admits that this document is a true and correct duplicate of a document found in OCF's files, except insofar as this document contains marginalia, exhibit stickers, production records, handwriting and other marks which do not appear on the original of this document. INTERROGATORY NO. 2:
OCF objects to this Interrogatory on the ground that this document was produced by OCF pursuant to an Order entered on November 3, 1989 by Judges Riley and Magg in Jamison v. a.p. Green, et al.. pending in the Circuit Court for Madison County, Illinois, after an in camera review of this document for claims of privilege that had been asserted by OCF. OCF maintains that this document is privileged from discovery and that its claim of privilege has not been waived by compliance with orders entered by Judges Riley and Magg. The ruling of those judges upon in camera inspection of this document is not applicable in these proceedings because the ruling was made under the Illinois law of privilege.
Without waiving this and other objections, OCF admits that this document was generated and kept in its files in the course of the regularly conducted business of OCF.
EXHIBIT NO. (v) K-291(c)
DESCRIPTION Attachment to both: 4 page report to M.D. Burch from G. W. H. Schepers, M.D., D.Sc., dated February 6, 1956
20
BATES NUMBER 01 501 1313-1316
ANSWERS INTERROGATORY NO. Ir
OCF objects to this Interrogatory on the ground that this document was produced by OCF pursuant to an Order entered on November 3, 1989 by Judges Riley and Magg in Jamison v. Anchor Packing Co., et al.. pending in the Circuit Court for Madison County, Illinois, after an in camera review of this document for claims of privilege that had been asserted by OCF. OCF maintains that this document is privileged from discovery and that its claim of privilege has not been waived by compliance with orders entered by Judges Riley and Magg. The ruling of those judges upon in camera inspection of this document is not applicable in these proceedings because the ruling was made under the Illinois law of privilege.
Without waiving this and other objections, OCF admits that this document is a true and correct duplicate of a document found in OCF's files, except insofar as this document contains marginalia, exhibit stickers, production records, handwriting and other marks which do not appear on the original of this document. INTERROGATORY NO. 2:
OCF objects to this Interrogatory on the ground that this document was produced by OCF pursuant to an Order entered on November 3, 1989 by Judges Riley and Magg in Jamison.v. Anchor Packing Co., et al.. pending in the Circuit Court for Madison County, Illinois, after an in camera review of this document for claims of privilege that had been asserted by OCF. OCF maintains that this document is privileged from discovery and that its
21
claim of privilege has not been waived by compliance with orders
entered by Judges Riley and Magg. The ruling of those judges
upon in camera inspection of this document is not applicable in these proceedings because the ruling was made under the Illinois law of privilege.
Without waiving this and other objections, OCF admits that
this document was kept in its files in the ordinary course of its
business. OCF, however, denies that this document was generated
in the course of a regularly conducted business activity of OCF.
EXHIBIT NO. (w) K-292
ANSWERS
DESCRIPTION Owens-Corning Fiberglas Corp. Intra-Company correspondence to John D. Black - Toledo from
W. F. Aikman - Toledo, dated February 9, 1956, re: Dr. Schepers' letter
of February 6, 1956
BATES NUMBER 01 501 1572.;
INTERROGATORY NO. 1:
OCF objects to this Interrogatory on the ground that this
document was produced by OCF pursuant to an Order entered on
November 3, 1989 by Judges Riley and Magg in Jamison v. Anchor
Packing Co., et al., pending in the Circuit Court for Madison
County, Illinois, after an in camera review of this document for
claims of privilege that had been asserted by OCF. OCF maintains
that this document is privileged from discovery and that its
claim of privilege has not been waived by compliance with orders
entered by Judges Riley and Magg. The ruling of those judges
upon in camera inspection of this document is not applicable in
these proceedings because the ruling was made under the Illinois
law of privilege.
.
22
Without waiving this and other objections, OCF admits that this document is a true and correct duplicate of a document found in OCF's files, except insofar as this document contains marginalia, exhibit stickers, production records, handwriting and other marks which do not appear on the original of this document. INTERROGATORY NO. 2:
OCF objects to this Interrogatory on the ground that this document was produced by OCF pursuant to an Order entered on November 3, 1989 by Judges Riley and Magg in Jamison v. A.P. Green, et al.. pending in the Circuit Court for Madison County, Illinois, after an in camera review of this document for claims of privilege that had been asserted by OCF. OCF maintains that this document is privileged from discovery and that its claim of privilege has not been waived by compliance with orders entered by Judges Riley and Magg. The ruling of those judges upon in camera inspection of this document is not applicable in these proceedings because the ruling was made under the Illinois law of privilege.
Without waiving this and other objections, OCF admits that this document was generated and kept in its files in the course of the regularly conducted business of OCF.
EXHIBIT NO.
(x) K-293
-
DESCRIPTION Two page medical report on Mr. Claude J. Tomplait, 201 Kay, Bridge City, Texas by T. R. Jones, M.D.
ANSWERS
INTERROGATORY NO. 1:
BATES NUMBER 02 209 0251-0252
23
OCF objects to this Interrogatory on the ground that this document was produced by OCF pursuant to an Order entered on November 3, 1989 by Judges Riley and Magg in Jamison v. A.P. Green, et al., pending in the Circuit Court for Madison County, Illinois, after an in camera review of this document for claims of privilege that had been asserted by OCF. OCF maintains that
this document is privileged from discovery and that its claim of
privilege has not been waived by compliance with orders entered
by Judges Riley and Magg. The ruling of those judges upon in
camera inspection of this document is not applicable in these
proceedings because the ruling was made under the Illinois law of
privilege.
Without waiving this and other objections, OCF admits that
this document is a true and correct duplicate of a document found
in OCF's files, except insofar as this document contains
marginalia, exhibit stickers, production records, handwriting and
other marks which do not appear on the original of this document.
INTERROGATORY NO. 2:
OCF objects to this Interrogatory on the ground that this document was produced by OCF pursuant to an Order entered on
November 3,. 1989 by Judges Riley and Magg in Jamison v. A.P.
Green, et al.. pending in the Circuit Court for Madison County,
Illinois, after an in camera review of this document for claims
of privilege that had been asserted by OCF. OCF maintains that
this document is privileged from discovery and that its claim of
privilege has not been waived by compliance with orders entered
by Judges Riley and Magg. The ruling of those judges upon in
24
camera inspection of this document is not applicable in these proceedings because the ruling was made under the Illinois law of privilege.
Without waiving this and other objections, OCF admits that this document was kept in its files in the ordinary course of its business. OCF, however, denies that this document was generated in the course of a regularly conducted business activity of OCF.
EXHIBIT NO. (y) K-294
DESCRIPTION Owens-Corning Fiberglas Corp. Intra-Company correspondence to R.E. Estep - Charleston from R.L. Logan, Jr. - Toledo,
dated January 11, 1965
BATES NUMBER 01 008 1370
ANSWERS
INTERROGATORY NO. 1:
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document.
INTERROGATORY NO. 2i OCF admits that this document was kept in its files in the
ordinary cour.se of its business. OCF, however, denies that this document was generated in the course of a regularly conducted business activity of OCF.
EXHIBIT NO. (z) K-295
DESCRIPTION Owens-Corning Fiberglas
25
BATES NUMBER 01 008 1333
ANSWERS
Corp. Intra-Company correspondence to 0. W. Pfeifer - Granville, Dr. w. c. Taylor - Toledo, Mr. M. D. Burch - Toledo, and Mr. R. L. Logan, Jr. Toledo from F. H. Edwards Toledo, dated January 22, 1965 re: inquiries about Kaylo
INTERROGATORY NO. 1:
OCF objects to this Interrogatory on the ground that this
document was produced by OCF pursuant to an Order entered on
November 3, 1989 by Judges Riley and Magg in Jamison v. Anchor
Packing Co., et al.. pending in the Circuit Court for Madison
County, Illinois, after an in camera review of this document for
claims of privilege that had been asserted by OCF. OCF maintains
that this document is privileged from discovery and that its
claim of privilege has not been waived by compliance with orders
entered by Judges Riley and Magg. The ruling of those judges
upon in camera inspection of this document is not applicable in
these proceedings because the ruling was made under the Illinois
law of privilege.
Without waiving this and other objections, OCF admits that
this document is a true and correct duplicate of a document found
in OCF's files, except insofar as this document contains
marginalia, exhibit stickers, production records, handwriting and
other marks which do not appear on the original of this document.
INTERROGATORY NO. 2:
-
OCF objects to this Interrogatory on the ground that this
document was produced by OCF pursuant to an Order entered on
26
November 3, 1989 by Judges Riley and Magg in Jamison v. A.?. Green, et al., pending in the Circuit Court for Madison County, Illinois, after an in camera review of this document for claims of privilege that had been asserted by OCF. OCF maintains that this document is privileged from discovery and that its claim of privilege has not been waived by compliance with orders entered by Judges Riley and Magg. The ruling of those judges upon in camera inspection of this document is not applicable in these proceedings because the ruling was made under the Illinois law of privilege.
Without waiving this and other objections, OCF admits that this document was kept in its files in the ordinary course of its business. OCF, however, denies that this document was generated in the course of a regularly conducted business activity of OCF.
EXHIBIT NO. (aa) K-296
ANSWERS
DESCRIPTION Letter to Mr. C.F. Schroeder - Toledo from R. F. Shannon, dated January 4, 1966, re: Case 8981
BATES NUMBER 01 036 2026
INTERROGATORY NO. 1:
OCF objects to this Interrogatory on the ground that this
document was produced by OCF pursuant to an Order entered on
November 3, 1989 by Judges Riley and Magg in Jamison v. Anchor
Packing Co., et al.. pending in the Circuit Court for Madison
County, Illinois, after an in camera review of this document for
claims of privilege that had been asserted by OCF. OCF maintains
that this document is privileged from discovery and that its
27
claim of privilege has nor been waived by compliance with orders entered by Judges Riley and Magg. The ruling of those judges upon in camera inspection of this document is not applicable in these proceedings because the ruling was made under the Illinois law of privilege.
Without waiving this and other objections, OCF admits that this document is a true and correct duplicate of a document found in OCF's files, except insofar as this document contains marginalia, exhibit stickers, production records, handwriting and other marks which do not appear on the original of this document. INTERROGATORY NO. 2:
OCF objects to this Interrogatory on the ground that this document was produced by OCF pursuant to an Order entered on November 3, 1989 by Judges Riley and Magg in Jamison v. A.P. Green, et al.. pending in the Circuit Court for Madison County, Illinois, after an in camera review of this document for claims of privilege that had been asserted by OCF. OCF maintains that this document is privileged from discovery and that its claim of privilege has not been waived by compliance with orders entered by Judges Riley and Magg. The ruling of those judges upon in camera inspection of this document is not applicable in these proceedings because the ruling was made under the Illinois law of privilege. -
Without waiving this and other objections, OCF admits that this document was kept in its files in the ordinary course of its business. OCF, however, denies that this document was generated in the course of a regularly conducted business activity of OCF.
28
EXHIBIT NO. (bb) K-297
DESCRIPTION
BATES NUMBER
Owens-Corning Fiberglas
01 039 1480
Corp. correspondence to
all officers, regional and
branch managers, sales and
contracting divisions and
their branch personnel, and
plant mangers from John
Marshall Briley, Vice President
dated July 13, 1966
ANSWERS
INTERROGATORY NO. 1:
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document. INTERROGATORY NO. 2:
OCF admits that this document was generated and kept in its
files in the course of the regularly conducted business of OCF.
EXHIBIT NO. (cc) K-298
DESCRIPTION Owens-Corning Fiberglas Corp. Intra-Company correspondence to John Vyverberg - New York from A. S. Kevlin - New York re: Kaylo Dust - Bath Iron, dated July 28, 1966
BATES NUMBER 01 039 1479
ANSWERS
INTERROGATORY NO. 1:
OCF admits that this document is a true and correct duplicate of a document found in OCF's files# except insofar as this document contains marginalia, exhibit stickers, production records, handwriting and other marks which do not appear on the original of this document.
29
INTERROGATORY NO 2.:
OCF admits that this document was generated and kept in i_s
files in the course of the regularly conducted business of OCF.
EXHIBIT NO. (da) K-299
.
DESCRIPTION
BATES NUMBER
Owens-Coming Fiberglas
01 039 1475-1476
Corp. Intra-Company
correspondence to J. M.
Briley - Toledo from F. H.
Edwards - Toledo re: Kaylo
Dust - Bath.Iron Works,
dated August 8, 1966 (2 pages)
ANSWERS
INTERROGATORY NO. 1:
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document.
INTERROGATORY NO. 2:
OCF admits that this document was kept in its files in the
ordinary course of its business. OCF, however, denies that this
document was generated in the course of a regularly conducted
business activity of OCF.
E.mBIT-Np.
DESCRIPTION
(ee) K-300
Owens-Corning Fiberglas
Corp. Intra-Company
correspondence to A.S.
Kevlin - New York from
F. H. Edwards - Toledo re:
' Bath Iron Works, dated
August 9, 1966
BATES NUMBER 01 039 1474
ANSWERS
INTERROGATORY NO. 1:
.
30
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as this document contains marginalia, exhibit stickers, production records, handwriting and other marks which do not appear on the original of this document.
INTERROGATORY NO. 2:
OCF admits that this document was generated and kept in its
files in the course of the regularly conducted business of OCF.
EXHIBIT NO. (ff) K-301
answers
DESCRIPTION Owens-Corning Fiberglas Corp. Intra-Company correspondence to J. M. Briley - Toledo from Wayne Johnson - New York re: Health Hazards-Kaylo, dated October 5, 1966
INTERROGATORY NO. 1:
BATES NUMBER 01 039 1472
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document. INTERROGATORY NO. 2:
OCF admits that this document was kept in its files in the
ordinary course of its business. OCF, however, denies that this
document was generated in the course of a regularly conducted
business activity of OCF.
EXHIBIT NO. (gg) K-302
DESCRIPTION
,,
BATES NUMBER
Letter to J. M. Briley -
01 039 1471
Toledo from F.H. Edwards -
Toledo re: Health Hazards-
Kaylo, dated October 24, 1966
31
ANSWERS INTERROGATORY NO. .!
OCF admits that this document is a true and correct duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document. INTERROGATORY NO. 2:
OCF admits that this document was kept in its files in the ordinary course of its business. OCF, however, denies that this document was generated in the course of a regularly conducted
business activity of OCF.
EXHIBIT NO. (hh) K-303
ANSWERS
DESCRIPTION
Letter to J. M. Briley Toledo from Wayne Johnson New York re: Warning Label on Kaylo, dated Nov. 8, 1966
BATES NUMBER 01 039 1467
INTERROGATORY NO. 1:
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the original of this document.
INTERROGATORY! NO. 2:
OCF admits that this document was generated and kept in its
files in the course of the regularly conducted business of OCF.
EXHIBIT NO. (ii) K-304
DESCRIPTION Memo to J. F. Vyverberg -
32
BATES NUMBER 01 039 1465
New York, J.H. Briley Toledo, F.M. Edwards Toledo, W. Johnson - New York from F.R. Winnert New York re: Health Hazards-Kaylo, dated November 10, 1966
ANSWERS
INTERROGATORY NO. 1:
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document.
INTERROGATORY NO. 2:
OCF admits that this document was generated and kept in its
files in the course of the regularly conducted business of OCF.
EXHIBIT NO. (jj) K-305
' ANSWERS
DESCRIPTION
BATES NUMBER
Memo to J.M. Briley -
01 039 1463
Toledo, F.H. Edwards -
Toledo, D.W. Ladd, Jr. -
New York, J.F. Vyverberg -
New York from Wayne Johnson -
New York re: Warning Label
on Kaylow [sic], dated
December 5, 1966
INTERROGATORY NO. 1:
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document. INTERROGATORY NO. 2:
33
OCF admits that this document was generated and kept in its
files in the course of the regularly conducted business of OCF.
EXHIBIT NO. (kk) K-306
DESCRIPTION Three page letter to State of Washington, Dept, of Labor and Industries, Olympia, Wash, from Lee F. Chorkley, D.O. re:
Cecil B. Lockwood, dated January 20, 1967
BATES NUMBER 02 209 0476-0478
ANSWERS
INTERROGATORY NO. 1:
OCF admits that this document is a true and correct duplicate of a document found in OCF's files, except insofar as this document contains marginalia, exhibit.stickers, production records, handwriting and other marks which do not appear on the original of this document. INTERROGATORY NO. 2:
OCF admits that this document was kept in its files in the ordinary course of its business. OCF, however, denies that this document was generated in the course of a regularly conducted business activity of OCF.
gXfUSIT NO. (11) K-307
ANSWER:
DESCRIPTION Memo to Robert L. Logan Toledo from Jon.L. Konzen, M.D., dated February 9, 1968.
(2 pages ^
BATES NUMBER 02 209 0222-0223
INTERROGATORY NO. 1:
''
OCF objects to this Interrogatory on the ground that this
document was produced by OCF pursuant to an Order entered on
November 3, 1989 by Judges Riley and Magg in Jamison v. A.P.
Green, et al.. pending in the Circuit Court for Madison County,
34
Illinois, after an in camera review of this document for claims of privilege that had been asserted by OCF. OCF maintains that this document is privileged from discovery and that its claim of privilege has not been waived by compliance with orders entered by Judges Riley and Magg. The ruling of those judges upon in camera inspection of this document is not applicable in these proceedings because the ruling was made under the Illinois law of
privilege. Without waiving this and other objections, OCF admits that
this document is a true and correct duplicate of a document found
in OCF's files, except insofar as this document contains marginalia, exhibit stickers, production records, handwriting and other marks which do not appear on the original of this document. INTERROGATORY NO. 2;
OCF objects to this Interrogatory on the ground that this document was produced by OCF pursuant to an Order entered on
November 3, 1989 by Judges Riley and Magg in Jamison v. A.P. Green, et al.. pending in the Circuit Court for Madison County, Illinois, after an in camera review of this document for claims
of privilege that had been asserted by OCF. OCF maintains that
this document is privileged from discovery and that its claim of privilege has not been waived by compliance with orders entered
by Judges Riley and Magg. The ruling of those judges upon in
camera inspection of this document is not applicable in these
proceedings because the ruling was made under the Illinois law of
privilege.
35
Without waiving this and other objections, OCF admits that this document was generated and kept in its files in the course of the regularly conducted business of OCF.
EXHIBIT NO. (mm) K-308
DESCRIPTION
Memo to John Vyverberg from Jon L. Kozen, M.D. dated April 3, 1969 (4 pages)
ANSWERS
INTERROGATORY NO. 1:
BATES NUMBER 02 401 0476-0478
OCF objects to this Interrogatory on the ground that this document was produced by OCF pursuant to an Order entered on November 3, 1989 by Judges Riley and Magg in Jamison v. Anchor
Packing Co., et al., pending in the Circuit Court for Madison County, Illinois, after an in camera review of this document for
claims of privilege that had been asserted by OCF. OCF maintains that this document is privileged from discovery and that its
claim of privilege has not been waived by compliance with orders entered by Judges Riley and Magg. The ruling of those judges
upon in camera inspection of this document is not applicable in these proceedings because the ruling was made under the Illinois
law of privilege.
Without waiving this and other objections, OCF admits that
this document is a true and correct duplicate of a document found
in OCF's files, except insofar as this document contains
marginalia, exhibit stickers, production records, handwriting and
other marks which do not appear on the original of this document.
INTERROGATORY NO. 2:
36
OCF objects to this Interrogatory on the ground that this document was produced by OCF pursuant to an Order entered on November 3, 1989 by Judges Riley and Magg in Jamison v. A.P. Green. et al. , pending in the Circuit Court for Madison County, Illinois, after'an in camera review of this document for claims of privilege that had been asserted by OCF. OCF maintains that this document is privileged from discovery and that its claim of privilege has not been waived by compliance with orders entered by Judges Riley and Magg. The ruling of those judges upon in camera inspection of this document is not applicable in these proceedings because the ruling was made under the Illinois law of privilege.
Without waiving this and other objections, OCF admits that this document was generated and kept in its files in the course of the regularly conducted business of OCF.
EXHIBITS, (nn) K-309
description
Confidential memo to C.G. Staelin from Jon L. Konzen, M.D. dated June 5, 1979
bates number
01 036 1114
ANSWERS
INTERROGATORY NO. 1:
OCF objects to this Interrogatory on the ground that this
document was produced by OCF pursuant to an Order entered on
November 3, 1989 by Judges Rilfy and Magg in Jamison v. Anchor
Packing Co., et al.. pending in the Circuit Court for Madison
County, Illinois, after an in camera review of this document for
claims of privilege that had been asserted by OCF. OCF maintains
that this document is privileged from discovery and that its
37
claim of privilege has not been waived by compliance with orders entered by Judges Riley and Magg. The ruling of those judges upon in camera inspection of this document is not applicable in
these proceedings because the ruling was made under the Illinois law of privilege.
Without waiving this and other objections, OCF admits that
this document is a true and correct duplicate of a document found
in OCF's files, except insofar as this document contains
marginalia, exhibit stickers, production records, handwriting and
other marks which do not appear on the original of this document. INTERROGATORY NO. 2:
OCF objects to this Interrogatory on the ground that this document was produced by OCF pursuant to an Order entered on
November 3, 1989 by Judges Riley and Magg in Jamison v. A.P.
Green, et al., pending in the Circuit Court for Madison County,
Illinois, after an in camera review of this document for claims
of privilege that had been asserted by OCF. OCF maintains that
this document is privileged from discovery and that its claim of
privilege has not been waived by compliance with orders entered
by Judges Riley and Magg. The ruling of those judges upon in
camera inspection of this document is not applicable in these
proceedings because the ruling was made under the Illinois law of
privilege.
Without waiving this and other objections, OCF admits that
this document was generated and kept in its files in the course
of the regularly conducted business of OCF.
EXHIBIT NO. (00) K-310
DESCRIPTION Owens-Corning Fiberglas
BATES WKBEB 01 029 0591-0597
38
Corp. Intra-Company correspondence to Keith Preston - Bloomington from Jon L. Konzen, M.D., dated
April 16, 1971, re: Bloomington Trip report, April 7 and 8, 1971 (7 pages)
ANSWERS
INTERROGATORY NO. 1:
OCF admits that this document is a true and correct duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document. INTERROGATORY NO. 2:
OCF admits that this document was generated and kept in its
files in the course of the regularly conducted business of OCF.
EXHIBIT NO. (pp) K-311
ANSWERS
DESCRIPTION Memo to S.M. Mayer T/26 from Jon L. Konzen, M.D., dated Sept. 20, 1972 with attachment: memo to
Steve Mayer - T/26 from Jon L. Konzen, -M.D., dated Aug. 29, 1972 (4 pages)
BATES NUMBER 08 006 1041-1044
INTERROGATORY NO. 1:
OCF objects to this Interrogatory on the ground that this
document was produced by OCF pursuant to an Order entered on
November 3, 1'989 by Judges Riley and Magg in Jamison v. Anchor
Packinq_.Co., et al,, pending in the Circuit Court for Madison
County, Illinois, after an in camera review of this document for
claims of privilege that had been asserted by OCF. OCF maintains
that this document is privileged from discovery and that its
39
claim of privilege has not been waived by compliance with orders entered by Judges Riley and Magg. The ruling of those judges upon in camera inspection of this document is not applicable in these proceedings because the ruling was made under the Illinois law of privilege.
Without waiving this and other objections, OCF admits that
this document is a true and correct duplicate of a document found in OCF's files, except insofar as this document contains marginalia, exhibit stickers, production records, handwriting and
other marks which do not appear on the original of this document. INTERROGATORY NO. 2:
OCF objects to this Interrogatory on the ground that this document was produced by OCF pursuant to an Order entered on
November 3, 1989 by Judges Riley and Magg in Jamison v. Anchor
Packing Co., et al., pending in the Circuit Court for Madison
County, Illinois, after an in camera review of this document for
claims of privilege that had been asserted by OCF. OCF maintains
that this document is privileged from discovery and that its
claim of privilege has not been waived by compliance with orders entered by Judges Riley and Magg. The ruling of those judges
upon in camera inspection of this document is not applicable in these proceedings because the ruling was made under the Illinois
law of privilege.
Without waiving this and other objections, OCF admits that
this document was generated and kept in its files in the course
of the regularly conducted business of OCF.
EXHIBIT NO. (qq) K-312
DESCRIPTION Owens-Corning Fiberglas
BATES NUMBER 01 086 1565
40
ANSWERS
Corp. Intra-Company correspondence to R. F. Shannon - Granville from C.B. Warden - Granville, dated Sept. 5, 1972
INTERROGATORY NO. 1:
OCF objects to this Interrogatory on the ground that this
document was produced by OCF pursuant to an Order entered on November 3, 1989 by Judges Riley and Magg in Jamison v. Anchor
Packing Co., et al.. pending in the Circuit Court for Madison
County, Illinois, after an in camera review of this document for claims of privilege that had been asserted by OCF. OCF maintains
that this document is privileged from discovery and that its
claim of privilege has not been waived by compliance with orders
entered by Judges Riley and Magg. The ruling of those judges
upon in camera inspection of this document is not applicable in
these proceedings because the ruling was made under the Illinois law of privilege.
Without waiving this and other objections, OCF admits that
this document is a true and correct duplicate of a document found
in OCF's files, except insofar as this document contains
marginalia, exhibit stickers, production records, handwriting and
other marks which do not appear on the original of this document.
INTERROGATORY NO. 2:
OCF objects to this Interrogatory on the ground that this
document was produced by OCF pursuant to an Order entered on
November 3, 1989 by Judges Riley and Magg in Jamison v. A.P.
Green, et al.. pending in the Circuit Court for Madison County,
41
Illinois, after an in camera review of this document for claims of privilege that had been asserted by OCF. OCF maintains that this document is privileged from discovery and that its claim of privilege has not been waived by compliance with orders entered by Judges Riley and Magg. The ruling of those judges upon in camera inspection of this document is not applicable in these proceedings because the ruling was made under the Illinois law of privilege.
Without waiving this and other objections, OCF admits that this document was kept in its files in the ordinary course of its business. OCF, however, denies that this document was generated in the course of a regularly conducted business activity of OCF.
EXHIBIT NO. (rr) K-313
ANSWERS
DESCRIPTION Owens-Corning Fiberglas
Corp. Intra-Company correspondence to Mr. C.B. Warden - Granville from R.F. Shannon- Granville 62
re: Asbestos, dated Sept. 13, 1972
BATES NUMBER 01 086 1564
INTERROGATORY NO. 1:
OCF objects to this Interrogatory on the ground that this
document was produced by OCF pursuant to an Order entered on
November 3, 1989 by Judges Riley and Magg in Jamison v, Anchor
Packing Co., et al.. pending in the Circuit Court for Madison
County, Illinois, after an in camera review of this document for
claims of privilege that had been asserted by OCF. OCF maintains
that this document is privileged from discovery and that its
claim of privilege has not been waived by compliance with orders
42
entered by Judges Riley and Magg. The ruling of those judges upon in camera inspection of this document is not applicable in these proceedings because the ruling was made under the Illinois law of privilege.
Without waiving this and other objections, OCF admits that this document is a true and correct duplicate of a document found in OCF's files, except insofar as this document contains marginalia, exhibit stickers, production records, handwriting and other marks which do not appear on the original of this document. INTERROGATORY NO. 2:
OCF objects to this Interrogatory on the ground that this document was produced by OCF pursuant to an Order entered on November 3, 1989 by Judges Riley and Magg in Jamison v. A.P. Green, et al.. pending in the Circuit Court for Madison County, Illinois, after an in camera review of this document for claims of privilege that had been asserted by OCF. OCF maintains that this document is privileged from discovery and that its claim of privilege has not been waived by compliance with orders entered by Judges Riley and Magg. The ruling of those judges upon in camera inspection of this document is not applicable in these proceedings because the ruling was made under the Illinois law of privilege.
Without waiving this and other objections, OCF admits that this document was generated and kept in its files in the course
of the regularly conducted business of OCF.
(ss) K-314
DESCRIPTION ^ Two page letter *to Edward
43
BATE? NUMBER 01 501 1611-1612
Ames from Leroy U. Garner dated March 13, 1943
ANSWERS
INTERROGATORY NO. 1:
OCF admits that this document is a true and correct duplicate of a document found in OCF's files, except insofar as this document contains marginalia, exhibit stickers, production records, handwriting and other marks which do not appear on the original of this document. INTERROGATORY NO. 2:
OCF admits that this document was kept in its files in the ordinary course of its business. OCF, however, denies that this
document was generated in the course of a regularly conducted business activity of OCF.
SXKI5XT m,. (tt) K-315
DESCRIPTION Letter to Edward C. Ames
from Albert Baumgardner's physician dated Nov. 21, 1944, re: Baumgardner's asbestosis
BATES. NUMBER 01 505 0004
ANSWERS INTERROGATORY NO. 1:
OCF admits that this document is a true and correct duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document.
-
INTERROGATORY NO. 2:
OCF admits that this document was kept in its files in the
ordinary course of its business. OCF, however, denies that this
44
document was generated in the course of a regularly conducted
business activity of OCF.
EXHIBIT NO. (uu) K-316
DESCRIPTION
Undated letter to Edward Ames re: cause of Albert Baumgardner's condition
BATES NUMBER 01 505 0006
ANSWERS
INTERROGATORY NO. 1:
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document. INTERROGATORY NO. 2:
OCF admits that this document was kept in its files in the
ordinary course of its business. OCF, however, denies that this
document was generated in the course of a regularly conducted
business activity of OCF.
(vv) K-317 ANSWERS
DESCRIPTION Letter to Dr. A.E. Canfield from Public Relations Manager dated November 22, 1944 re: Albert Baumgardner
BATES NUMBER 01 505 0002
INTERROGATORY, NO. 1:
OCF admits that this document is a true and correct
duplicate of'a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document.
INTERROGATORY NO. 2:
45
OCF admits that this document was kept in its files in the
ordinary course of its business. OCF, however, denies that this
document was generated in the course of a regularly conducted
business activity of OCF.
exhij.it ml. (ww) K-318
Letter to Medical Department State Office Bldg., Columbus, Ohio, from Don Hanna, Safety Director, Division of Safety and Hygiene for the State of Ohio, dated Jan. 21, 1946
BATES NUMBER 01 505 1705
ANSWERS INTERROGATORY NO. 1:
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document.
INTERROGATORY NO. 2:
OCF admits that this document was kept in its files in the
ordinary course of its business. OCF, however, denies that this
document was generated in the course of a regularly conducted
business activity of OCF.
EXHIBIT m,. (xx) K-319
DESCRIPTION Two page Owens-Corning Fiberglas Intra-Company
correspondence to J.H.
Boynton from William A.
Lotz dated June 20, 1963 Subject: Methods for Evaluating Kaylo Dust.
BATES NUMBER 01 081 1884-1885
ANSWERS
INTERROGATORY NO. 1:
46
OCF admits that this document is a true and correct duplicate of a document found in OCF's files, except insofar as this document contains marginalia, exhibit stickers, production records, handwriting and other marks which do not appear on the original of this document. INTERROGATORY NO. 2:
OCF admits that this document was generated and kept in its files in the course of the regularly conducted business of OCF.
EXHIBIT NO.
(yy) K-320
DESCRIPTION Three page Owens-Corning Fiberglas Intra-Company correspondence to R.L. Stafford from Michael Hardwick dated May 24, 1965. Subject: KayloLong Range Planning Personnel
BATES NUMBER 01 041 0916-0918
ANSWERS
INTERROGATORY NO. 1:
OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as
this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document.
INTERROGATORY NO. 2:
OCF admits that this document was generated and kept in its
files in the course of the regularly conducted business of OCF.
EXHIBIT NO. (22) K-321
DESCRIPTION Owens-Corning Fiberglas
Process Specification, Quality Control and Specification Dept., No. AH.518.P.OT.10 dated
BATES NUMBER 42 013 1831
47
March 7, 1977 ANSWERS INTERROGATORY NO. 1:
OCF admits chat this document is a true and correct duplicate of a document found in OCF's files, except insofar as this document contains marginalia, exhibit stickers, production
records, handwriting and other marks which do not appear on the
original of this document.
INTERROGATORY NO. 2:
OCF admits that this document was generated and kept in its
files in the course of the regularly conducted business of OCF.
EXHIBIT NO. (aaa) K-322
DESCRIPTION
Owens-Corning Fiberglas Equipment Insulations Brochure, IN6.A3, June, 1956. (8 pages)
BATES NUMBER 42 012 0722-0729
ANSWERS
INTERROGATORY NO. 1: OCF admits that this document is a true and correct
duplicate of a document found in OCF's files, except insofar as this document contains marginalia, exhibit stickers, production records, handwriting and other marks which do not appear on the original of this document. INTERROGATORY NO. 2:
OCF admits that this document was kept in its files in the
ordinary course of its business. OCF, however, denies that this
document was generated in the course of a regularly conducted business activity of OCF.
48
INTERROGATORY NO. 3: Please answer whether the document entitled "OCF Asbestos
Litigation Privileged Documents -- Not Discoverable", attached here as Plaintiffs' Exhibit 1, is a true and correct duplicate of a genuine and authentic document. ANSWERS
OCF objects to this Interrogatory on the ground that it is not calculated to lead to the discovery of admissible evidence. Because plaintiffs' Exhibit 1 was generated by OCF counsel, not by OCF, admission or denial of its authenticity provides no information that pertains to admissible evidence.
INTERROGATORY NO. 4: Please answer whether the original copy of Plaintiffs'
Exhibit 1 referenced above was kept and/or generated in the regular course of a regularly conducted business activity of OCF. ANSWERS
OCF objects to this Interrogatory on the ground that it is not calculated to lead to the discovery of admissible evidence. Because plaintiffs' Exhibit 1 was generated by OCF counsel, not by OCF, admission or denial of its authenticity provides no information that pertains to admissible evidence.
INTERROGATORY NO. 5: On November 8, 1989, did Judge Riley in the case styled
Jamison v. Anchor Packing Company, et al.. CA No. 87-L-1230 (3rd Jud. Cir. Madison County, 111.) sign an Order commanding OCF to produce to plaintiffs in that case true and correct copies of approximately 378 documents which OCF claimed to be privileged? ANSWERS
49
I
OCF objects to this Interrogatory on the grounds that it is irrelevant and not calculated to lead to the discovery of admissible evidence. OCF maintains that the ruling of- Judges Riley and Magg in Jamison are not applicable in these proceedings because the ruling was made under the Illinois law of privilege.
INTERROGATORY NO. 6: If so, did OCF produce true and correct copies of these
documents from their Document Depository in Richmond, Virginia to the Court? ANSWERS
OCF objects to this Interrogatory on the grounds that it is irrelevant and not calculated to lead to the discovery of admissible evidence. OCF maintains that the ruling of Judges Riley and Magg in Jamison are not applicable in these proceedings because the ruling was made under the Illinois law of privilege.
INTERROGATORY NO. 6: Has OCF stipulated or agreed to the authenticity of any of
the documents referenced in Interrogatory No. 1 with any person prior to the date of these Interrogatories? ANSWERS
OCF objects to this Interrogatory on the grounds that it is irrelevant and not calculated to lead to the discovery of admissible evidence. Any prior stipulation or agreement made under the circumstances of a specific case has no bearing on the actual authenticity of the referenced documents and as such is not calculated to lead to admissible evidence.
50
NO. 87-16080-E
KAREN ELAINE KNAPP, Executrix )
and Personal Representative of )
the Heirs and Estate of GEORGE R)
HALL, SR., Deceased; BESSIE M. )
WILLIAMS, Individually and as )
Personal Representative of the )
Heirs and Estate of ALTON
)
WILLIAMS, Deceased; MARY E. MAY )
Individually and as Personal
)
Representative of the Heirs and )
Estate of WILLIE J. MAY; ROBERT)
E. MALONE, SR. and IRMA MALONE; )
RAYMOND R. ORR and LYDIA ORR
)
Plaintiffs
) )
Versus
) )
ARMSTRONG WORLD INDUSTRIES, INC., ET AL.
) )
)
IN THE DISTRICT COURT OF DALLAS COUNTY, TEXAS
Defendants
) 101TH JUDICIAL DISTRICT
STATE OF OHIO COUNTY OF LUCAS
) ) )
AFFIDAVIT
ROBERT A. McOMBER, being duly sworn, deposes and says that he is Counsel - Litigation for OWENS-CORNING FIBERGLAS CORPORATION and that he verifies the foregoing answers to
plaintiffs' Amended Responses to Initial Interrogatories for and on behalf of OWENS-CORNING FIBERGLAS CORPORATION and is duly authorized so to do? that the matters stated therein are not within the personal knowledge of deponent? that the facts stated therein have been assembled by authorized employees and counsel of OWENS-CORNING FIBERGLAS CORPORATION and deponent is informed that the facts stated therein are true.
Page 2 KAREN ELAINE KNAPP, et al.
SWORN TO and subscribed before me this ^O^ day of March, 1990.
ROBERT A. McOMBER
SHERYN L. HOCAN Notary Public, State cf Ohio 'Y Commission Expires Aug. 18, 1994