Document a4bL7kYNpYobLzez9zMjdVpya

Response: See Preliminary Statement and General Objections, which are incorporated herein by reference. Subject to and without waiving objections, see response to Request 5, below. 3. All documents identified in response to Interrogatory No. 9C (Plaintiffs First Set of Interrogatories to Defendant Dana Corporation). Response: See Preliminary Statement and General Objections, and Dana's answer to Interrogatory 9, which are incorporated herein by reference. 4. All documents identified in response to Interrogatory No. 1 IB (Plaintiff's First Set of Interrogatories to Defendant Dana Corporation). Response: See Preliminary Statement and General Objections, and Dana's answer to Interrogatory 11, which are incorporated herein by reference. 5. All documents identified in response to Interrogatory No. 12C (Plaintiffs First Set of Interrogatories to Defendant Dana Corporation). Response: See Preliminary Statement and General Objections, and Dana's answer to Interrogatory 12, which are incorporated herein by reference. Subject to and without waiving objections, Dana Corporation produces the labels attached as Exhibit A. 6. All documents identified in response to Interrogatory No. 15E (Plaintiff s First Set of Interrogatories to Defendant Dana Corporation). Response: See Preliminary Statement and General Objections, and Dana's answer to Interrogatory 15, which are incorporated herein by reference. 7. All sales brochures; promotional pamphlets; product manuals; specification sheets; instructional materials; safety sheets; assembly maintenance, handling, and replacement instructions; circulated or utilized by the Defendant between 1930-1996 pertaining to asbestos containing gaskets. 4