Document a43boeV7QwJXEdYzn8xk53Xxb
FILE NAME: Reichhold (REI) DATE: 2012 Feb 14 DOC#: REI009 DOCUM ENT DESCRIPTION: Legal-Excerpts from Testimony of TR Madden
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IN THE SUPERIOR COURT
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OF THE STATE OF DELAWARE
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IN AND FOR NEW CASTLE COUNTY
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IN RE: Asbestos Litigation
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Limited to:
Case No: 09C-01-021
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Raymond Attwood
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Duane Weaver
Case No: Case No:
09C-2-063 08C-04-087
Alyce Riess
Case No: 09C-07-303
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Anna Hartgrave
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Videotaped Deposition of Thomas R. Madden
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February 14, 2012
At 10:00 a.m.
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Taken At:
Sheraton Charlotte Airport
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Charlotte, North Carolina
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Corbett Reporting - A Veritext Company
300 Delaware Avenue - Suite 815
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Wilmington, DE 19801
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Reported by LeShaunda Cass-Byrd, CSR, RPR
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Q.
Okay. Now, in fact, in Mr. Meacham in his
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letter dated April 30, 1980, I think you've got it as
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Exhibit 15?
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A.
Yes, I do. Do you want it?
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Q.
Okay. You have it in front of you.
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Mr. Meacham in his letter dated April 30, 1980, says
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Reichhold was going to stop selling asbestos phenolic
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molding compounds by the end of 1980, right?
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A.
Correct.
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Q.
And in fact, you have testified today that
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Reichhold ceased the manufacture of
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asbestos-containing phenolic molding compounds in
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1980, correct?
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A.
Yes.
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Q.
And y o u 'vetestified tothis jury that
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Reichhold stopped selling asbestos phenolic molding
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compounds in 1980, true?
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A.
To the best of my knowledge, yes.
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Q.
But that is not true, is it, sir?
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MS. SPARDONE: Object to form.
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THE WITNESS: Why wouldn't it be?
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Q.
(By Mr. Thompson) Let me show you a
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document I'll mark as Exhibit 21.
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(Plaintiff Exhibit 21 was marked for
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identification.)
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Q.
(By Mr. Thompson) And that is RI 00272
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through 284. And take a few minutes and look at it,
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and w e 111 go off the tape.
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THE VIDEOGRAPHER: The time is
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2;53 p.m. We are off the record.
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(A recess was taken.)
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THE VIDEOGRAPHER: The time is
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2:54 p.m. We are on the record.
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Q.
(By Mr. Thompson) Mr.Madden, have you
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seen Exhibit 14 before?
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MS. SPARDONE: 21, I believe it is.
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Q.
(By Mr. Thompson) Excuseme, 21.
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A.
I 've seen them both. Yes, sir, I have
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seen -- I have seen 21, yes, sir.
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Q.
Have you seen Exhibit 21 before, sir?
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A.
Yes, I have.
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Q.
And what is it?
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A.
It's a - appears to be a copy of an
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Industrial Hygiene Survey. That was done at the
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Carteret -- Reichhold Carteret facility. The report
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is dated August 18th, 1981, and it gives the results
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of air sampling tests, etc., at the -- well, this
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is -- this is just a summary of the report, it was
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written by Warren Townsend. It's his report of what
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he saw during the day or days of his visit.
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Q.
And the date of the report is August 18,
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1981?
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A.
Yes, it is, sir.
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Q.
And the date of sampling at the Carteret,
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New Jersey, Reichhold Chemicals plant was June 25,
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1981, and June 26, 1981, right?
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A.
That is correct.
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Q.
And that is a document that was in
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Reichhold1s files, true?
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A.
Yes, at one time or another, yes.
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Q.
And the subject is Asbestos Sampling,
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June 25, 1981, and June 26, 1981, correct?
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A.
Yes, it is.
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Q.
And it states under sampling comments,
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No. 3, Only Line D was using asbestos.
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A.
Yes.
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Q.
Line A, B and C were not using asbestos.
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"Line" means production line, right?
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A.
Correct.
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Q.
So there was still asbestos product
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manufacturing of phenolic molding compounds going on
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six months later on in late June of 1981, correct?
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A.
What Line D was doing, looking at the bag
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size and the amount of asbestos, that was a cleanup
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batch, whatever bags were still in inventory of the
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warehouse, they were__
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Q.
They wanted to use it up?
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A.
Get rid of it.
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Q.
Get rid of it. I mean, they were producing
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products?
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A.
And producing scrap product.
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Q-
Producing scrap product? You don''t know
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that.
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MS. SPARDONE: Object to form,
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argumentative.
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Q.
(By Mr. Thompson) Where does it say in
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Exhibit 21 that they were producing scrap product six
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months after you testified Reichhold stopped making
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asbestos phenolic molding compound?
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MS. SPARDONE: Object to form.
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THE WITNESS: Okay. The document
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itself doesn't say that, but if you look at
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the batch sizes and the amount they are
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using, they are just using up the last of
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the material to get it to go to the
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landfill and work they were doing with it.
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THE WITNESS: We chose that method to
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do it.
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Q.
(By Mr. Thompson) You chose that method,
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and in fact. The Hartford Insurance Company came by
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and actually did asbestos product -- asbestos fiber
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release sampling on the workers who were doing this
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work? And that is, again, RI 00272 through 284. It *s
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Exhibit --
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A.
The document -- yeah, the document says
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what it says.
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Q.
It's Exhibit 14, right?
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A.
Yes.
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Q.
And in fact, these workers were being
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exposed to asbestos during this process six months
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after the fact, only for the purpose, apparently, of
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disposing of the material?
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A.
Let me just read --
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MS. SPARDONE: Object to form, asked
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and answered.
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Q.
(By Mr. Thompson) Is that correct?
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MS. SPARDONE: Same objection.
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THE WITNESS: Let me just say what
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the conclusion is, so that may clear the
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record. It says, air sampling. I'm
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looking at 0000273. Conclusion? Air
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sampling, the data sheet summary indicates
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that all TWAs were below the standard of
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two fibers, longer than 5 millimeters per
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cubic centimeter stated in the OSHA
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standard.
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So therefore, the individuals were
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following standard procedure, which was at
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all times that they were handling raw
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asbestos, regardless of the atmosphere,
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which was well below the OSHA standard,
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that they were aware of respiratory
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protection, and in fact, all of the samples
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that he took that day, wherever he took
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them, were below the TWA, so the workers
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were not being exposed to asbestos fibers
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in excess of what this standard allowed --
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Q.
(By Mr. Thompson) And I asked you --
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A.
-- if at all.
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Q.
I asked you if they were being exposed to
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asbestos fibers, and the answer would be yes.
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A.
I just
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M S . SPARDONE: Object to form.
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THE WITNESS: -- stated my answer.
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2T-- lino 17*
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Q.
(By Mr. Thompson) Were they exposed to
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asbestos fibers?
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MS. SPARDONE: Object to form, asked
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and answered.
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THE WITNESS: The document speaks for
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itself. That is my answer to it.
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Q.
(By Mr. Thompson) Is it a yes or a no?
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MS. SPARDONE: Same objection,
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argumentative.
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THE WITNESS: No.
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Q.
(By Mr. Thompson) The workers were not
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exposed to asbestos, and that's the conclusion in
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Exhibit 21?
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A.
That's -- that is the way I understand it.
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Q.
You are talking about below certain levels?
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A.
Correct.
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Q.
They were exposed to asbestos?
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A.
We would have to go through each and every
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one of these.
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Q.
We can do that.
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A.
And the fellows that were handling the
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material were not, in fact, exposed because they were
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wearing aspirators.
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Q.
They stated they were surprised -- in fact,
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in the document, the investigator for Hartford
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Insurance states that it was surprised to find
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asbestos concentrations in all of the lines, even
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though Reichhold represented that they weren't using
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asbestos anymore, true?
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MS. SPARDONE: Object to form.
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THE WITNESS: Correct. That is the
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statement, what he said.
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Q.
(By Mr. Thompson) Let's flip to Page 278
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of the document. That is Bates stamp number 278.
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A,
(Witness complies.)
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Q.
The first sample is of an individual
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working on Lines A and B, true?
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A.
Yes.
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Q.
Okay. Was molding operation location. Are
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you seeing that?
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A.
Yes. I'm sorry.
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Q.
Now, molding Compounds, Building 406; do
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you see that?
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A.
Yes.
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Q.
First half Man A and B, do you see that?
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A.
Yes.
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Q.
And the first samplethey found 75,000
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asbestos fibers. Do you see that?
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A.
Yes.
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Q.
The second sample of the same person on
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Lines A and B they found 55,000 asbestos fibers. Do
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you see that?
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A.
Yes, under that column. But I would point
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out there is additional information contained on this
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sheet.
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Q.
Well, the second sample of the same person
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on Lines A and B -- and by the way, Lines A and B were
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not actually the lines that were manufacturing the
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asbestos phenolic molding compound material, it was
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Line D, correct?
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A.
Correct.
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Q.
So they are finding 75,000 fibers on one
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man on Line A and B, and the same guy they find 55,000
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asbestos fibers, correct?
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A.
That is correct.
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Q.
And the third sample, the same individual
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on Lines A and B, they find 43,000 asbestos fibers,
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true?
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A.
Correct.
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Q.
The fourth sample on Lines A and B, they
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find 22,000 asbestos fibers, right?
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A . Correct.
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Q.
Flip to the next page, please, Mr. Madden,
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Page C
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A.
Is that 79 --
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Q.
79, Line C, I'm sorry.
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A.
Yes.
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Q.
This is an individual working on Line C,
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correct?
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A.
Correct.
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Q.
And this would have been on June 25, 26,
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1981, right?
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A.
It's marked June 25th, 1981, yes.
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Q.
Okay. And the first sample test they found
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40,000 asbestos fibers on that man?
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A.
Correct.
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Q.
And the second sample they found 42,000
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asbestos fibers, right?
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A.
In the sample, yes.
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Q.
And the third sample they found 36,000
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asbestos fibers on the man, correct?
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A.
Correct.
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Q.
And the fourth sample they found 32,000
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asbestos samples, right?
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A.
Yes.
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Q-
And that is for a product line that was not
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even manufacturing the asbestos phenolic molding,
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correct?
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MS. SPARDONE: Object to form, asked
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and answered.
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Q.
(By Mr. Thompson) That is correct?
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A.
Correct.
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Q.
Let's look at the next page.
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A.
(Witness complies.)
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Q-
This is an individual who was on Line B,
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which you've told us was not using asbestos, right?
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A.
Correct.
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Q.
The first sample found 61,000 asbestos
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fibers, correct?
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A.
I'm sorry, the first one I read was 52.
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What's the Bates number? I'm sorry.
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Q.
The Bates stampwould have been the next
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page. I can --
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MS. SPARDONE: 280.
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MR. THOMPSON: 280.
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THE WITNESS: Oh, 280. Okay. I'm
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sorry. I missed a page. No, you're right.
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Q.
(By Mr. Thompson) No, that isallright.
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So the first sample found 61,000 asbestos
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fibers, correct ?
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