Document aB8KMwe5q9VQMo3zKwOMGgagM
(I PLAINTIFFS i EXHIBIT
| E-63
CAUSE MO. 93-03625-1
HELEN GAMBRELL, Individually
S
IN THE DISTRICT COURT
and as the Special
Administratrix of the Estate of S
ROBERT GAMBRELL, Deceased
S
DALLAS COUNTY, TEXAS
VS. sS
s
THE ABER COMPANY, ET AL.
162ND JUDICIAL DISTRICT
DEPENDANTS APPLETON ELECTRIC COMPANY'8 AND EMERSON
ELECTRIC CO.'S ANSWERS AND OBJECTIONS
TO PLAINTIFF'B MASTER BET OP INTERROGATORIES
AND REQUEST FOR PRODUCTION
TO:
Helen Gambrell, by and through her attorney of record, Mr. Russell W. Budd, BARON & BUDD, The Centrum, 3102 Oak Lawn Avenue, Suite 1100, Dallas, Texas 75219.
COME NOW, Defendants Appleton Electric Company and Emerson
Electric Co. (hereinafter Appleton Electric Company), and make and
file this their Answers and Objections to Plaintiff's Master Set of
Interrogatories and Request for Production and would show unto the
Court as follows:
INTERROGATORY NO. Is
INTERROGATORIES
State the name, address, job title, length of time employed by
Defendant, a year-by-year list of all other positions, titles, or
jobs held when working for Defendant of each person who has
supplied any information used in answering these interrogatories.
RESPONSE;
Patrick Henry Appleton Electric Company 701 W. Wellington Avenue Chicago, IL 60657-4097
DEFENDANTS APPEgTON ELECTRIC COMPANY'8 AMD EMERSON ET.gCTRIC CO. S ANSWERS AND
OBJECTIONS TO PLAINTIFF'S MASTER SET OF INTERROGATORIES AND REQUEST TOR
PRODUCTION
PAGE 1
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INTERROGATORY WO. 2: State whether or not you are a corporation. If so, state your
correct corporate name, the state of your incorporation, the address of your principal place of business, the name and address of the person or entity authorized to accept service of process on your behalf, and whether or not you have ever held a Certificate of Authority to do business in the State of Texas. RESPONSE:
Appleton Electric Company is a corporation incorporated in the state of Delaware with its principal place of business in Chicago, Illinois. CT Corporation is authorized to accept service on behalf of Appleton Electric Company. INTERROGATORY NO. 3i
Has Defendant or any of its predecessor or subsidiary companieb at any time engaged in the mining and subsequent sale of material containing asbestos fibers? If so, identify the location of the mine(s), the years of its operation, the type of asbestos mined and whether you sold any asbestos to any Defendants in the Dallas County asbestos litigation. RESPONSE:
No. INTERROGATORY NO. 4:
Identify by name each product containing asbestos fibers that Defendant or any of its predecessor or subsidiary companies at any time manufactured or sold.
DEFENDANTS APPLETON ELECTRIC COMPANY'S AND EMERSOM RT.ECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF'S MASTER SET OF INTERROGATORIES AND REQUEST FOR
PRODUCTION
PAGE 2
F:\EDW\Q5300.INT
RESPONSE Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company
states that it did not manufacture, sell or distribute an asbestos-
containing product during the time period in which decedent alleges
exposure to asbestos-containing products. Furthermore, Appleton
Electric Company has found no records which indicate it ever
manufactured, sold or distributed an asbestos containing product.
INTERROGATORY NO. 5:
Identify by name each product containing asbestos fibers that
Defendant or any of its predecessor or subsidiary companies at any
time marketed or sold.
RESPONSE;
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company
states that it did not manufacture, sell or distribute an asbestos-
containing product during the time period in which decedent alleges
exposure to asbestos-containing products. Furthermore, Appleton
DEFENDANTS APPUCTOM WT.BCTRIC COMPANY'S AND EMERSON ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF * S MASTER SET OF INTERROGATORIES AND REQUEST FOR
PRODUCTION
PAGE 3
P:\EDW\Q5300.INT
Electric Company has found no records which indicate it ever manufactured, sold or distributed an asbestos containing product. INTERROGATORY WO. 68
If the answer to one or more of the last three interrogatories
is in the affirmative or lists any products, state as to each named
product the following: A. As to each product, state whether such product was mined,
manufactured, marketed, and/or sold. B. The names of the companies mining, manufacturing,
marketing,
and/or selling each product mined,
manufactured, marketed, and/or sold.
C. The trade or brand name of each of those products mined,
manufactured, marketed and/or sold.
D. The date each of the named products was placed on the
market.
E. A description of the physical (chemical) composition of
each of the named products, including the type of
asbestos contained in the product and the percentage of
asbestos put in each product.
F. The date each of the products was removed from the market
and no longer sold or distributed and the reason or
reasons, therefor.
G. The date asbestos was removed from such products, if
ever, and the reasons therefor.
DEPENDANTS APPLETOW ELECTRIC COMPANY'S AND EMERSON ELECTRIC CO.'S ANSWERS AMP
OBJECTIONS TO PLAINTIFF'S MASTER SET OF INTERROGATORIES AND REQUEST POR
PRODUCTION
PAGE 4
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H. A description of the physical appearance of each of the
named products. X. A detailed description of the intended uses of the named
products. J. Identify the last year that you sold each asbestos-
containing product.
RESPONSE;
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company
states that it did not manufacture, sell or distribute an asbestos-
containing product during the time period in which decedent alleges
exposure to asbestos-containing products.
Therefore, this
interrogatory is not applicable to Appleton Electric Company.
Furthermore, Appleton Electric Company has found no records which
indicate it ever manufactured, sold or distributed an asbestos
containing product.
INTERROGATORY NO. 7?
Do any documents, including but not limited to written
memoranda, specifications, recommendations, blueprints, or other
written materials of any kind or character, relating to the design,
preparation, or introduction into the market of the products listed
in Interrogatory No. 6 still exist? If so, state:
DEPENDAMTS APPT.WTOM RT.WCTRIC COMPANY'S AND EMERSON ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF* S MASTER SET OF INTERROGATORIES AND REQUEST FOR
PRODUCTION
PAGE 5
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A. A description of each such statement.
B. The name, address, and job title of each person who
currently has possession of each document, and where the
documents are currently located.
RESPONSE;
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company
states that it did not manufacture, sell or distribute an asbestos-
containing product during the time period in which decedent alleges
exposure to asbestos-containing products.
Therefore, this
interrogatory is not applicable to Appleton Electric Company.
Furthermore, Appleton Electric Company has found no records which
indicate it ever manufactured, sold or distributed an asbestos
containing product.
INTERROGATORY NO. 8S
Before distributing, selling, or placing the products listed
in your responses to Interrogatory Nos. 3-6 into the streams of
commerce, were any tests conducted to determine potential health
hazards involved in the use of, or exposure to, the materials such
as asbestos, contained in those products?
If the answer is
affirmative, state:
DEFENDANTS APPLETON ELECTRIC COMPANY'S AND EMERSON ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF* S MASTER SET OF INTERROGATORIES AND REQUEST FOR
PRODUCTION
PAGE 6
P:\EDW\05300.INT
A. The names of the products tested and the date of each
test. B. The name, address, and job title of each person
conducting the tests or involved with conducting the
tests. C. The results of the tests. RESPONSES
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company states that it did not manufacture, sell or distribute an asbestos-
containing product during the time period in which decedent alleges
exposure to asbestos-containing products. Furthermore, Appleton
Electric Company has found no records which indicate it ever
manufactured, sold or distributed an asbestos containing product.
Therefore, this interrogatory is not applicable to Appleton
Electric Company.
INTERROGATORY NO, 9s
Do any documents, including but not limited to written
memoranda, specifications, recommendations, blueprints, or other
written materials of any kind or character, relating to the testing
of the products referred to in Interrogatory No. 6 now exist? If
so, state:
DEFENDANTS RPPLBTnv *T.*CTRIC COMPANY*8 AND EMERSON gt,BCTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF* S MASTER SET OF INTERROGATORIES AND REQUEST FOR
PRODUCTION
PAGE 7
F:\EDW\05300.INT
A. A description of each such document. B. The name, address, and job title of each person who
currently has possession of each document, and where it
is presently located.
RESPONSEX Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company
states that it did not manufacture, sell or distribute an asbestos-
containing product during the time period in which decedent alleges
exposure to asbestos-containing products. Furthermore, Appleton
Electric Company has found no records which indicate it ever manufactured, sold or distributed an asbestos containing product.
Therefore, this interrogatory is not applicable to Appleton
Electric Company.
INTERROGATORY NO, 10:
Did Defendant or any of its predecessor subsidiary companies
make any design changes or modifications as a result of those tests
described in responses to Interrogatory No. 8? If the answer is
affirmative, state:
A. The trade names of the products changed.
B. The nature of the changes made and the date of such
changes or modifications.
DEFENDANTS APPLETON ELECTRIC COMPANY *S AND EMERSON ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF'S MASTER SET OF INTERROGATORIES AND REQUEST FOR
PRODUCTION
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C. The name, address, and job title of each person
responsible for having caused a change to be made, or
having made a change or modification.
RE8P0NSEX
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company
states that it did not manufacture, sell or distribute an asbestos-
containing product during the time period in which Decedent alleges
exposure to asbestos-containing products. Furthermore, Appleton
Electric Company has found no records which indicate it ever
manufactured, sold or distributed an asbestos containing product.
Therefore, this interrogatory is not applicable to Appleton
Electric Company.
INTERROGATORY NO. 11:
After releasing the products listed in Interrogatory No. 6 to
the public, were any tests conducted on them to determine potential
health hazards resulting from the use of or exposure to the
materials, such as asbestos, contained in those products? If the
answer is affirmative, state:
A. The names of the products tested and the dates of such
tests.
DEFENDANTS APPLETON ttT.RCTRIC COMPANY'S AND EMERSON ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF'S MASTER SET OF INTERROGATORIES AND REQUEST FOR
PRODUCTION
PAGE 9
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B. The name, address, and job title of each person who
conducted those tests,
C. The results of those tests. D. Whether, as a result of the tests, any products were
removed from the market. E. The names of all products removed from the market as a
result of these tests.
response: Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company
states that it did not manufacture, sell or distribute an asbestos-
containing product during the time period in which Decedent alleges
exposure to asbestos-containing products. Furthermore, Appleton
Electric Company has found no records which indicate it ever
manufactured, sold or distributed an asbestos containing product.
Therefore, this interrogatory is not applicable to Appleton
Electric Company.
INTERROGATORY NO. 12:
Do any documents, including written memoranda, specifications,
recommendations, blueprints, or other written materials of any kind
or character, relating to the potential health hazards of the
products listed in Interrogatory No. 6 now exist? If so, state:
DEFENDANTS APPLETON ELECTRIC COMPANY'S AND EMERSON ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF* S MASTER SET OF INTERROGATORIES AND REQUEST FOR
PRODUCTION
PAGE 10
F:\EDW\05300.INT
A. The name of each product. B. A description of each document and how it relates to each
product. C. The name, address, and job title of each person who
currently has possession of each document, and where it
is presently located. RESPONSEt
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company
states that it did not manufacture, sell or distribute an asbestoscontaining product during the time period in which Decedent alleges
exposure to asbestos-containing products. Furthermore, Appleton Electric Company has found no records which indicate it ever
manufactured, sold or distributed an asbestos containing product.
Therefore, this interrogatory is not applicable to Appleton Electric Company. INTERROGATORY NO. 13s
Did Defendant or any of its subsidiary companies make any
design changes as a result of the tests discussed in your response
to Interrogatory No. 10 or 13? state:
If the answer is affirmative,
A. The names of the products changed or modified.
DEFENDANTS APPLETON ELECTRIC COMPANY'S AMP EMERSON ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF'S MASTER SET OF INTERROGATORIES AND REQUEST FOR
PRODUCTION
PAGE 11
F:\EDW\QS300.INT
B. The name, address, and job title of each person
responsible for having made a change or modification.
C. The nature of the hazard or defect which resulted in such
change or modification. RESPONSE:
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company
states that it did not manufacture, sell or distribute an asbestos-
containing product during the time period in which Decedent alleges
exposure to asbestos-containing products. Furthermore, Appleton
Electric Company has found no records which indicate it ever
manufactured, sold or distributed an asbestos containing product.
Therefore, this interrogatory is not applicable to Appleton
Electric Company.
INTERROGATORY NO. 14:
Has Defendant or any of its predecessor or subsidiary
companies at any time published or distributed any printed
material, including brochures, pamphlets, catalogs, packaging or
written material or any kind or character containing any warnings
concerning the possibility of injury resulting from the use of the
asbestos-containing products listed in Interrogatory No. 6? If so, state:
DEFENDANTS APPLETON KT.RCTRIC COMPANY'S AND EMERSON ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF'S MASTER SET OF INTERROGATORIES AND REQUEST FOR
PRODUCTION F:\EDW\05300.INT
PAGE 12
A. The names of each relevant product.
B. The exact wording of each warning statement on each
printed material.
C. A description of the printed material other than the
warning statement.
D. The method used to distribute the warning to persons
likely to use the product.
E. The date each warning was first issued, distributed, or
placed on packaging.
F. The name, address, and job title of each person
responsible for having drafted or issued the warning.
G. The current location of any such printed material and the
custodian thereof.
H. The form in which such literature or printed material can
be accessed, i.e. . the manner in which such literature is
indexed or stored.
RESPONSE:
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company
states that it did not manufacture, sell or distribute an asbestos-
containing product during the time period in which Decedent alleges
exposure to asbestos-containing products. Furthermore, Appleton
DEFENDANTS APPLETON ELECTRIC COMPANY'S AND EMERSOH ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF'S MASTER SET OF INTERROGATORIES AND REQUEST FOR
PRODUCTION
PAGE 13
P:\EDVA05300.INT
Electric Company has found no records which indicate it ever
manufactured, sold or distributed an asbestos containing product.
Therefore, this interrogatory is not applicable to Appleton
Electric Company.
INTERROGATORY NQ. 15: Before 1970, had you received notice that any individual or
individuals, other than those Plaintiffs who have filed personal
injury actions in Dallas County, Texas, is or are claiming or has
or have claimed an injury as a result of using asbestos products
manufactured and/or sold by your company or any of its predecessors
or subsidiaries before 1970? If so, state:
A. The name and address of each claimant.
B. The date of notice of each claim.
C. A description of the claim.
D. The type of injuries allegedly sustained.
E. The name and address of each attorney who represents each
individual making a claim.
F. The style and court number of each claim.
G. The disposition of each claim that has been settled or
taken to judgment.
RESPONSES
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
DEFENDANTS APPLETON ELECTRIC COMPANY'S AMP EMERSON ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF'S MASTER SET OF INTERROGATORIES AND REQUEST FOR
PRODUCTION F:\EDW\05300.INT
PAGE 14
objections and without waiving same, Appleton Electric Company is
not aware of any claims referred to in this interrogatory.
INTERROGATORY WO. 16
Were your asbestos products distributed, marketed, packaged,
labeled and/or sold by companies other than your own? If the
answer is affirmative, list the names and addresses of each of
those companies, and the products in question.
RESPONSE:
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objection and without waiving same, Appleton Electric Company
states that it did not distribute, market, package, label or sale
an asbestos-containing product by itself or through any other
company during the time period in which Plaintiff alleges exposure
to asbestos-containing products as Appleton Electric Company did
not manufacture, sell or distribute any asbestos-containing
products during that time period. Furthermore, Appleton Electric
Company has found no records which indicate it ever manufactured,
sold or distributed an asbestos containing product.
INTERROGATORY NO. 17i
Did you or any of your predecessors, successors, or
subsidiaries have any distributors or sales representatives of
asbestos products in the States of Alabama, Florida, Mississippi,
DEFENDANTS APPTJCTQW FT.BCTRIC COMPANY * S AND EMERSON ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF'S MASTER SET OF INTERROGATORIES AND REQUEST FOR
PRODUCTION F:\EDW\G5300.INT
PAGE 15
Oregon, Washington, Georgia, Tennessee, Texas and Virginia? If so, state:
A. The name and address of each such distributor or sales representatives.
B. The years in which such company or person distributed, marketed, or sold your products.
C. What products were distributed, marketed, or sold and in what years.
RESPONSE: Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information which is not relevant nor reasonably calculated to lead to the discovery of admissible evidence. However, subject to said objection and without waiving same, Appleton Electric Company states that it did not distribute, market, package, label or sale an asbestos-containing product by itself or through any other company during the time period in which Decedent alleges exposure to asbestos-containing products as Appleton Electric Company did not manufacture, sell or distribute any asbestos-containing products during that time period. Furthermore, Appleton Electric Company has found no records which indicate it ever manufactured, sold or distributed an asbestos containing product. INTERROGATORY NO. 18:
List each employee (including only physicians and/or hygienists) who has acted in a medical advisory capacity to your
DEFENDANTS APPLETON ELECTRIC COMPANY'S AND EMEPSOM gr.ECTRIC CO.'S ANSWERS AMD
OBJECTIONS TO PLAINTIFF'S MASTER SET OP INTERROGATORIES AND REQUEST FOR
PRODUCTION F:VEDVA05300.INT
PAGE 16
company at any time during the past 40 years, including, but not
limited to, physicians and industrial hygienists, and the current
address, telephone number and job title of each of those
individuals and who has, had or may have had any knowledge
regarding the hazards of asbestos.
RESPONSE:
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company had
no such employee requested in this interrogatory.
INTERROGATORY NO. 19:
Does Defendant have in its possession any books, pamphlets,
memoranda, or written materials of any kind or character that would
indicate that asbestos fibers, when inhaled, can be hazardous to
the health of human beings? If so, state:
A. The name of each such publication.
B. The date of publication and the names of the author and
publisher (if any).
C. The date received by Defendant, if known.
D. The name, job title, and address of each person who
currently has possession of each publication and its
present location.
DEFENDANTS APPLETON ELECTRIC COMPANY * S AND EMERSON ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF* S MASTER SET OF INTERROGATORIES AND REQUEST FOR
PRODUCTION
PAGE 17
F:\EDVAQ5300.INT
RESPONSE!
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
Appleton Electric Company
further objects to the extent this interrogatory seeks information
protected by the attorney-client, attorney work product,
investigation and party communication privileges. However, subject
to said objections and without same, Appleton Electric Company did
not manufacture, sell or distribute an asbestos-containing product
during the time period in which Decedent alleges exposure to
asbestos-containing products.
Furthermore, Appleton Electric
Company has found no records which indicate it ever manufactured,
sold or distributed an asbestos containing product. Therefore,
this interrogatory is not applicable to Appleton Electric Company.
INTERROGATORY NO. 20!
Has Defendant or any of its subsidiary or predecessor
companies at any time been a member of any trade organization or
association that published or disseminated any documents or
information relating to the hazards of asbestos comprised of other
manufacturers, miners, marketers, and/or sellers of asbestos
products? If so, state:
A. The name and address of each such association or
organization.
DEFENDANTS APPLETON ELECTRIC COMPANY'S AMD EMERSON ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF 'S MASTER SET OF INTERROGATORIES AND REQUEST FOR
PRODUCTION
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B. The dates during which Defendant or any of its
subsidiaries or predecessors were members.
C. The names and dates of any publications, minutes, or
reports published, written, or disseminated by any of the
named associations or organizations.
D. Whether any of those publications are still in your
possession, and if so: X. A description of the publications, including the
date. 2. The current location of such publications.
3. The custodian of such publications.
4. The method or manner in which such publications are
RESPONSE:
maintained.
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company is
not aware of any trade organization of which it was a member that
published or disseminated any documents relating to the hazards of
asbestos.
INTERROGATORY NO. 21:
Identify by name and location each plant or manufacturing
facility in which the products listed in your answers to
DEFENDANTS APPLKTON FTT.FCTRIC COMPANY'S AND EMERSON ELECTRIC CO. 'S ANSWERS AND
OBJECTIONS TO PLAINTIFF* S MASTER SET OP INTERROGATORIES AND REQUEST FOR
PRODUCTION
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Interrogatory Nos. 3-6 were manufactured, assembled, or prepared
for sale or marketing, specifying which plants produced each item,
the dates each plant is or was in operation, and the time span
during which each named item was produced or manufactured.
RESPONSE!
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company
states that it did not manufacture, sell or distribute an asbestos-
containing product during the time period in which Decedent alleges
exposure to asbestos-containing products. Furthermore, Appleton
Electric Company has found no records which indicate it ever
manufactured, sold or distributed an asbestos containing product.
Therefore, this interrogatory is not applicable to Appleton
Electric Company.
INTERROGATORY NO. 22 S
Have printed sales materials been prepared by Defendant or any
of its subsidiary or predecessor companies or their agents for
purposes of marketing or advertising products containing asbestos?
If so, state:
A. The name, address, and job title of each person or entity
who prepared such materials.
DEFENDANTS APPUTPOM Kt-BCTRIC COMPANY'S AND EMEF&rtM Wt,WCTRIC CO. ' S ANSWERS AND
OBJECTIONS TO PLAINTIFF'S MASTER SET OF INTERROGATORIES AND REQUEST FOR
PRODUCTION
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F:\EDW\05300.INT
B. The name, address, and job title of each person who
currently has possession of such materials and their
present location.
C. The date the materials were prepared.
D. The media used to disseminate the sales materials.
RESPONSE!
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company
states that it did not manufacture, sell or distribute an asbestos-
containing product during the time period in which Decedent alleges
exposure to asbestos-containing products. Furthermore, Appleton
Electric Company has found no records which indicate it ever
manufactured, sold or distributed an asbestos containing product.
Therefore, this interrogatory is not applicable to Appleton
Electric Company.
INTERROGATORY NO, 23:
Have any written or printed materials or instructions of any
kind or character been prepared by Defendant or any of its
subsidiary or predecessor companies or their agents indicating how
asbestos products should be used and maintained? If so, state:
DEFENDANTS APPLETON ELECTRIC COMPANY * S AND EMERSON FT.FgTRTC CO.'S ANSWERS AMD
OBJECTIONS TO PLAINTIFF'S MASTER SET OF INTERROGATORIES AND REQUEST FOR
PRODUCTION
F:\EDW\05300.INT
PAGE 21
A. The name, address, and job title of each person who
prepared such materials or instructions or assisted in
their preparation.
B. The name, address and job title of each person who
currently has possession of such materials or
instructions and their present locatio.
C. The dates of distribution or use and the manner in which
such materials or instructions were distributed to
purchasers of Defendant's products or those of its
subsidiaries or predecessors.
D. The year each such written material or instruction was
prepared and disclosed to potential consumers.
RESPONSE!
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company
states that it did not manufacture, sell or distribute an asbestos-
containing product during the time period in which Decedent alleges
exposure to asbestos-containing products. Furthermore, Appleton
Electric Company has found no records which indicate it ever
manufactured, sold or distributed an asbestos containing product.
Therefore, this interrogatory is not applicable to Appleton
Electric Company.
DEFENDANTS APPLETON ELECTRIC COMPANY'S AND EMERSON ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF * S MASTER SET OF INTERROGATORIES AND REQUEST FOR
PRODUCTION
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INTERROGATORY NO. 24: Does Defendant have insurance policies that might cover the
claims made by Plaintiffs in these cases? If so, list the name of each insurance carrier, the amount of initial coverage, amount of coverage remaining at the present time, and the effective dates of each policy. (If properly answered, this Interrogatory need not be supplemented as to the remaining amount of coverage). RESPONSE:
Appleton Electric Company is self-insured. INTERROGATORY NO. 25!
As to the disease asbestosis, state: A. The date on which Defendant or its subsidiary or
predecessor first learned that such disease was caused by inhalation of asbestos fibers by humans. B. How Defendant became aware of the existence of the disease. C. Who within the company first discovered, recognized or understood the adverse consequences or effects of the disease and/or of asbestos exposure. D. What information was disseminated within Defendant's company or its subsidiary or predecessor regarding such adverse consequences or effects. E. Whether any such information is still maintained by Defendant or its subsidiary or predecessor in any written form.
DEFENDANTS APPLETOW ELECTRIC COMPANY'S AND EMEPSOM ELECTRIC CO.'S ANSWERS AMP
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F. Who is the custodian of such information.
G. The date on which you first received knowledge or
information that asbestosis was caused by inhalation of
asbestos fibers. RESPONSEt
Appleton Electric Company objects to this interrogatory as it
assumes facts not in evidence and seeks information which is not
relevant nor reasonably calculated to lead to the discovery of
admissible evidence. However, subject to said objections and
without waiving same, Appleton Electric Company states that it did
not manufacture, sell or distribute an asbestos-containing product
during the time period in which Decedent alleges exposure to
asbestos-containing products.
Furthermore, Appleton Electric
Company has found no records which indicate it ever manufactured,
sold or distributed an asbestos containing product. Therefore,
this interrogatory is not applicable to Appleton Electric Company. INTERROGATORY NO. 26s
As to the disease lung cancer, state:
A. The date on which Defendant or its subsidiary or
predecessor first learned that such disease was caused by
inhalation of asbestos fibers by human.
B. How Defendant or its subsidiary or predecessor became
aware of the disease and its relationship to asbestos
exposure.
DEFENDANTS APPLETON ELECTRIC COMPANY'8 AND EMERSON ELECTRIC CO.'S ANSWERS AKD
OBJECTIONS TO PLAINTIFF'S MASTER SET OP INTERROGATORIES AND REQUEST FOR
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C. Who within the company or its subsidiary or predecessor
first discovered or recognized the adverse consequences
or effects of asbestos exposure.
D. What information was disseminated within Defendant's
company or its subsidiary or predecessor regarding such
adverse consequences or effects.
E. Whether any such information is still maintained by
Defendants or its subsidiaries or predecessors in a
written form.
F. Who is the custodian of such information.
G. The date on which you first received knowledge or
information that lung cancer was caused by inhalation of
asbestos dust and fibers. RESPONSE;
Appleton Electric Company objects to this interrogatory as it
assumes facts not in evidence and seeks information which is not
relevant nor reasonably calculated to lead to the discovery of
admissible evidence. However, subject to said objections and
without waiving same, Appleton Electric Company states that it did
not manufacture, sell or distribute an asbestos-containing product
during the time period in which Decedent alleges exposure to
asbestos-containing products.
Furthermore, Appleton Electric
Company has found no records which indicate it ever manufactured,
sold or distributed an asbestos containing product. Therefore,
this interrogatory is not applicable to Appleton Electric Company.
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INTERROGATORY NO. 27: As to pleural disease# pleural thickening or pleural plaques,
state: A. The date on which Defendant or its subsidiary or predecessor learned such disease was caused by inhalation of asbestos fibers by human. B. How Defendant or its subsidiary or predecessor became aware of the disease and that it was caused by exposure to asbestos. C. Who within the company or its subsidiary or predecessor first discovered or recognized the adverse consequences or effects of asbestos exposure. D. What information was disseminated within Defendant's company or its subsidiary or predecessor regarding such adverse consequences or effects. E. Whether any such information is still maintained by Defendant or its subsidiary or predecessor in written form. F. Who is the custodian of such information.
RESPONSES Appleton Electric Company objects to this interrogatory as it
assumes facts not in evidence and seeks information which is not relevant nor reasonably calculated to lead to the discovery of admissible evidence. However, subject to said objections and without waiving same, Appleton Electric Company states that it did
DEFENDANTS APPLFTOM FT.FQTRIC COMPANY'S AND EMERSON ELECTRIC CO.*8 ANSWERS AND
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not manufacture, sell or distribute an asbestos-containing product
during the time period in which Decedent alleges exposure to
asbestos-containing products.
Furthermore, Appleton Electric
Company has found no records which indicate it ever manufactured,
sold or distributed an asbestos containing product. Therefore,
this interrogatory is not applicable to Appleton Electric Company.
INTERROGATORY NO. 28S
As to the disease mesothelioma, state:
A. The date on which Defendant or its subsidiary or
predecessor first learned such disease was caused by
inhalation of asbestos fibers by humans.
B. The date on which Defendant first suspected that
mesothelioma was caused by inhalation of asbestos dust
and .fibers.
C. How Defendant or its subsidiary or predecessor became
aware of the disease ant that it was caused by exposure
to asbestos.
D. Who within the company or its subsidiary or predecessor
first discovered or recognized the adverse consequences
or effects of asbestos exposure.
E* What information was disseminated within Defendant's
company or its subsidiary or predecessor regarding such
adverse consequences or effects.
DEFENDANTS APPLETON ELECTRIC COMPANY'S AND BMEPSQM RT^CTRIC CO.'S ANSWERS AND
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F. Whether any such information is still maintained by
Defendants or its subsidiary or predecessor in a written
form.
G. Who is the custodian of such information.
H. Whether Defendant agrees that there is no known medical
cure for mesothelioma.
RESPONSE:
Appleton Electric Company objects to this interrogatory as it
assumes facts not in evidence and seeks information which is not
relevant nor reasonably calculated to lead to the discovery of
admissible evidence. However, subject to said objections and
without waiving same, Appleton Electric Company states that it did
not manufacture, sell or distribute an asbestos-containing product
during the time period in which Decedent alleges exposure to
asbestos-containing products.
Furthermore, Appleton Electric
Company has found no records which indicate it ever manufactured,
sold or distributed an asbestos containing product. Therefore,
this interrogatory is not applicable to Appleton Electric Company.
INTERROGATORY NO. 29S
As to gastro-intestinal cancer, laryngeal cancer, pharyngeal
cancer or lymphatic cancer, state:
A. The type of cancer and the date on which Defendant or its
subsidiary or predecessor first learned that such
diseases were caused by inhalation of asbestos fibers by
humans.
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B. What cancers has the Defendant or its subsidiary or
predecessor become aware can be caused by exposure to
asbestos fibers? C. The date on which Defendant first suspected other cancers
were caused by asbestos inhalation.
D. Who within the company or its subsidiary or predecessor
first discovered the adverse consequences or effects of
asbestos exposure.
E. What information was disseminated with Defendant's
company or its subsidiary or predecessor regarding such
adverse consequences or effects.
F. Whether any such information is still maintained by
Defendant or its subsidiary or predecessor in a written
form.
G. Who is the custodian of such information. RESPONSE:
Appleton Electric Company objects to this interrogatory as it
assumes facts not in evidence and seeks information which is not
relevant nor reasonably calculated to lead to the discovery of
admissible evidence.
However, subject to said objections and
without waiving same, Appleton Electric Company states that it did
not manufacture, sell or distribute an asbestos-containing product
during the time period in which Decedent alleges exposure to
asbestos-containing products.
Furthermore, Appleton Electric
Company has found no records which indicate it ever manufactured,
DEFENDANTS APPLETON ELECTRIC COMPANY'S AMD EMERSON ELECTRIC CO.'S ANSWERS AND
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sold or distributed an asbestos containing product. Therefore,
this interrogatory is not applicable to Appleton Electric Company.
INTERROGATORY NO. 301 Does Defendant contend that asbestos products can be
manufactured or designed so as to eliminate all potential health hazards to persons working with or exposed to them? If the answer is affirmative, explain in detail, and attach any studies or
surveys on which this answer is based.
response: Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company
states that it did not manufacture, sell or distribute an asbestos-
containing product during the time period in which Decedent alleges exposure to asbestos-containing products. Furthermore, Appleton
Electric Company has found no records which indicate it ever
manufactured, sold or distributed an asbestos containing product.
Therefore, this interrogatory is not applicable to Appleton
Electric Company.
INTERROGATORY NO. 31:
Describe in detail the types of packages or packaging which
Defendant or any of its subsidiary or predecessor companies used
for asbestos material or products, listing the dates each type of
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package was used, a physical description of each type of package,
and providing a description of any printed material or trademarks
that appeared thereon.
RESPONSE:
Appleton Electric Company objects to this interrogatory as it
assumes facts not in evidence. However, subject to said objection and without waiving same, Appleton Electric Company states that it
did not distribute, market, package, label or sale an asbestos-
containing product by itself or through any other company during
the time period in which Decedent alleges exposure to asbestos-
containing products as Appleton Electric Company did not
manufacture, sell or distribute any asbestos-containing products
during that time period. Furthermore, Appleton Electric Company
has found no records which indicate it ever manufactured, sold or
distributed an asbestos containing product. INTERROGATORY NO. 32:
Has Defendant or any of its subsidiary or predecessor
companies at any time entered into a rebranding" agreement with
any other company, either as a buyer or seller, concerning asbestos
materials or asbestos products? agreement:
If so, state, as to each such
A. The name of the company manufacturing the asbestos
products.
B. The trade name affixed to those products.
C. The periods of time covered by each such agreement.
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D. The volume, in dollar amount, of each transaction.
E. The initial purchaser of the products.
RESPONSE:
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objection and without waiving same, Appleton Electric Company
states that it did not distribute, market, package, label or sale
an asbestos-containing product by itself or through any other
company during the time period in which Decedent alleges exposure
to asbestos-containing products as Appleton Electric Company did
not manufacture, sell or distribute any asbestos-containing
products during that time period. Furthermore, Appleton Electric
Company has found no records which indicate it ever manufactured,
sold or distributed an asbestos containing product.
INTERROGATORY NO. 33:
List the name and address of each company from which Defendant or its subsidiary or predecessor purchased materials or asbestos products which Defendant sold or distributed in any form, stating the form of the materials, the dates of such purchases, and the ultimate disposal of such materials. RESPONSE:
Appleton Electric Company objects to this interrogatory as it is overbroad, assumes facts not in evidence and seeks information
DEFENDANTS APPLETON ELECTRIC COMPANY'S AND EMERSON ELECTRIC CO.'S ANSWERS AND
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which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company
states that it did not manufacture, sell or distribute an asbestos**
containing product during the time period in which Decedent alleges
exposure to asbestos-containing products. Furthermore, Appleton
Electric Company has found no records which indicate it ever
manufactured, sold or distributed an asbestos containing product.
Therefore, this interrogatory is not applicable to Appleton
Electric Company.
INTERROGATORY NO. 34i
Does Defendant or any of its subsidiary or predecessor currently have possession of any writings or contracts on those rebranding agreements set forth in the answer to Interrogatory No. 32? If the answer is affirmative, state:
A. The name, address, and job title of each person having custody of each of those documents and their current location.
B. A brief description of each such document, including the
dates and the parties signatory. response:
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
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objection and without waiving same, Appleton Electric Company states that it did not distribute, market, package, label or sale an asbestos-containing product by itself or through any other company during the time period in which Decedent alleges exposure to asbestos-containing products as Appleton Electric Company did not manufacture, sell or distribute any asbestos-containing products during that time period. Furthermore, Appleton Electric Company has found no records which indicate it ever manufactured, sold or distributed an asbestos containing product. INTERROGATORY NO. 35S
Prior to 1968, did any person file a claim against a Worker's Compensation carrier covering Defendant or any of its subsidiaries or predecessors alleging that he/she contracted a disease from inhaling asbestos fibers? If so, provide:
A. A list of the claims, including each claimant's name, address and the date each claim was filed, and including the caption and jurisdiction of the claim.
B. The disease alleged in each such claim. C. A brief summary of the disposition of each such claim. D. The name, address and title of the person having custody
of the records pertaining to each such claim. RESPONSE:
No.
DEFENDANTS APPLETON ELECTRIC COMPANY/S AND EMERSON ELECTRIC CO.'S ANSWERS AMD
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INTERROGATORY NO. 36l Did Defendant or any of its subsidiaries or predecessors
maintain written minutes or corporate meetings, either board of
directors, departmental, or otherwise, which reflect discussions
pertaining to any subject matter related to asbestos, asbestos
health hazards or asbestos products? If so, for each such set of
minutes, state:
A. The dates of each such meeting.
B. The general subject matter discussed at each meeting.
C. Who was in attendance at each meeting.
D. Where and by whom the written minutes are presently
maintained.
E. By whom the minutes were taken and put into final format.
F. Whether the minutes were abstracted and reports
disseminated to other individuals, and if so, the names
and job titles of those individuals. RESPONSE;
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company
states that it did not manufacture, sell or distribute an asbestos-
containing product during the time period in which Decedent alleges
exposure to asbestos-containing products. Furthermore, Appleton
DEFENDANTS APPLETON ELECTRIC COMPANY'S AND EMERSON ELECTRIC CO.* 8 ANSWERS AMD
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Electric Company has found no records which indicate it ever manufactured, sold or distributed an asbestos containing product. Therefore, this interrogatory is not applicable to Appleton Electric Company. INTERROGATORY NO. 371
Do you or any of your subsidiaries, including foreign business entities, currently manufacture any products containing asbestos? If so, state:
A. As to each product, whether such product is mined, manufactured, and/or marketed or sold.
B. The names and addresses of the companies mining, manufacturing, marketing, and/or selling each of those products.
C. The trade or brand name of each of those products mined, manufactured, marketed, and/or sold.
D. The date each of the named products was placed on the market.
E. A description of the physical (chemical) composition of each of the named products, including the type of asbestos contained in the product.
F. A description of the physical appearance of each product and its packaging.
G. A detailed description of the intended uses of each of the named products.
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H. Whether there are any warning labels on said products or
containers regarding potential asbestos-related health
hazards.
responsb: Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objection and without waiving same, Appleton Electric Company does
not now nor during the time period during which Decedent alleges
exposure did it manufacture, sell or distribute any products
containing asbestos. Furthermore, Appleton Electric Company has
found no records which indicate it ever manufactured, sold or
distributed an asbestos containing product.
INTERROGATORY NO. 38:
State whether you or any of your predecessors and/or
subsidiaries maintain, from 1940 through the present or for any
portion thereof, copies of invoices, shipping documents, bills of
lading, purchase orders, or other documents of a similar nature
relating to the mining, manufacture, marketing, sale or
distribution of asbestos products. If so, state:
A. The location of such documents.
B. The name and address of the custodian of the documents.
C. The format in which the documents are kept, i.e., hard
copy, microfilm, microfiche, etc.
DEPENDANTS APPLETON ELECTRIC COMPANY * S AND EMERSON RT.^CTRIC CO.'S ANSWERS AND
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D. In what form the documents can be accessed, i.e., by
state, by product, etc., and if by product, whether kept
according to asbestos or non-asbestos.
RESPONSE!
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company
states it is not aware of any documents which indicate it
manufactured, sold or distributed any asbestos-containing products. INTERROGATORY NO. 39:
May you call company representatives as witnesses at the trial of any of these case? If so, list:
A. The name, address, and job title of each company
representative who may be called.
B. A summary of the testimony expected to be given by each
such witness.
C. List any and all previous times that the named witnesses
have either given deposition or trial testimony in an
asbestos-related case, including the jurisdiction, style
of the case, case number, date of testimony, and the name
of the attorney taking the deposition for the Plaintiffs in that case.
DEFENDANTS APPLETON ELECTRIC COMPANY'S AND EMERSON ELECTRIC CO.'S ANSWERS AND
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RESPONSE* Appleton Electric Company objects to this interrogatory as it
is beyond the permissible scope of Texas Rule of Civil Procedure
166b and that no product of Appleton Electric Company has been
identified by Plaintiff. However, subject to said objections and
without waiving same, Appleton Electric Company has not made a
determination as to what company representatives it may call as
witnesses at the trial of these cases.
Possible company
representatives include Patrick Henry and Donald Knueven, Chief
Engineer. Appleton Electric Company is unable to provide a summary
of anticipated testimony as no product has been identified by
Plaintiff. Once the product is identified, Appleton Electric
Company will supplement this response pursuant to the Texas Rules
of Civil Procedure.
INTERROGATORY NO. 40:
Have Defendant or its subsidiaries or predecessors ever
acquired through purchase, reorganization, or merger another
corporation, company, or business which manufactured, sold,
processed, distributed, or contracted or supplied products
containing asbestos? If so, for each such entity, state:
A. Full and correct name;
B. Principal place of business;
C. state of incorporation;
D. Date of acquisition by Defendant;
DEPENDANTS APPLETON ELECTRIC COMPANY'S AND EMERSON ET-ECTRIC CO.'S ANSWERS AND
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E. Whether or not the business entity was ever authorized to transact business in the state of Texas;
BMPM* Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company has
not purchased, reorganized or merged with another corporation,
company or business which manufactured, sold, processed,
distributed, or contracted or supplied products containing
asbestos.
INTERROGATORY NO. 41i
Was each of your asbestos products generally expected to reach, or packaged to reach, the consumer or user, without substantial change in the condition in which it was sold? If not, with respect to any such product, explain in what way the Defendant claims its products were altered or substantially changed after sale or distribution and before reaching the user. RESPONSE:
Appleton Electric Company objects to this interrogatory as it is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company's
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products were expected to reach the consumer or user in the same
package the product was placed in when it left Appleton Electric
Company.
INTERROGATORY NO. 42t For each asbestos-containing product identified in response to
Interrogatory No. 6, identify all foreseeable users such as
insulators, helpers, pipefitters, welders, machinists, plasterers,
drywall finishers, carpenters, boilermakers, shipwrights and
riggers, etc. of any of Defendant's asbestos-containing products.
RESPONSE!
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence. Furthermore, Appleton Electric
Company objects to this interrogatory as it seeks a legal
conclusion.
However, subject to said objections and without
waiving same, Appleton Electric Company states that it did. not
manufacture, sell or distribute an asbestos-containing product
during the time period in which Decedent alleges exposure to
asbestos-containing products.
Furthermore, Appleton Electric
Company has found no records which indicate it ever manufactured,
sold or distributed an asbestos containing product. Therefore,
this interrogatory is not applicable to Appleton Electric Company,
but Appleton Electric Company's products foreseeable users are
electricians.
DEFENDANTS APPLETON ELECTRIC COMPANY * 8 AND EMERSON FT.FQTRIC CO.'S ANSWERS AMP
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INTERROGATORY NO. 43: Based upon the material contents of your asbestos-containing
products, the method of manufacturing, and the method of
application, can such products be generally applied without
liberating asbestos fibers into the air? A. If there is a different answer concerning different
products manufactured, sold, distributed, or used by your
company, then specify the different products by precise
manufacturer's name and popular name.
B. If there is a difference in your answer depending on the
year or years in which a particular product was used,
then specify in detail what year or years you are
referring to and the specific products you are referring
to and year involved. RESPONSE;
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company
states that it did not manufacture, sell or distribute an asbestos-
containing product during the time period in which Decedent alleges
exposure to asbestos-containing products. Furthermore, Appleton
Electric Company has found no records which indicate it ever
manufactured, sold or distributed an asbestos containing product.
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Therefore, no asbestos can be released by an Appleton Electric Company product. INTERROGATORY WO. 441
Was it a foreseeable use of you asbestos-containing products that they may have been removed, stripped, or replaced at some time after installation? response:
Appleton Electric Company objects to this interrogatory as it is overbroad, assumes facts not in evidence and seeks information which is not relevant nor reasonably calculated to lead to the discovery of admissible evidence. Furthermore, Appleton Electric Company objects to this interrogatory as it seeks a legal conclusion. However, subject to said objections and without waiving same, Appleton Electric Company states that it did not manufacture, sell or distribute an asbestos-containing product during the time period in which Decedent alleges exposure to asbestos-containing products. Furthermore, Appleton Electric Company has found no records which indicate it ever manufactured, sold or distributed an asbestos containing product. Therefore, this interrogatory is not applicable to Appleton Electric Company. INTERROGATORY NO. 45:
Before 1970, did you or your subsidiaries or predecessor(s) ever arrange for any labor inspectors, insurance company inspectors or anyone from your company to go to job sites where your products were being used or installed to make or take dust level counts? If
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so, state when this procedure started, the purpose of such
procedures, and all results of such procedures.
RESPONSE
Appleton Electric Company objects to this interrogatory as it
is overbroad, irrelevant and seeks information which is not reasonably calculated to lead to the discovery of admissible
evidence. Furthermore, Appleton Electric Company objects to this
interrogatory to the extent it seeks information protected by the
attorney-client and the attorney work product privileges. However,
subject to said objections and without waiving same, Appleton
Electric Company did not arrange for such inspections since it did
not manufacture, sell or distribute an asbestos-containing product
during the time period in which Decedent alleges exposure to
asbestos-containing products.
Furthermore, Appleton Electric
Company has found no records which indicate it ever manufactured,
sold or distributed an asbestos containing product. INTERROGATORY NO. 46:
If Defendant performed or had performed any dust level counts,
what action, based on the results, did your company take? RESPONSES
Appleton Electric Company objects to this interrogatory as it
assumes facts not in evidence. However, subject to said objections
and without waiving same, Appleton Electric Company did not arrange
for such inspections since it did not manufacture, sell or
distribute an asbestos-containing product during the time period in
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which decedent alleges exposure to asbestos-containing products.
Furthermore, Appleton Electric Company has found no records which
indicate it ever manufactured, sold or distributed an asbestos
containing product.
This interrogatory is not applicable to
Appleton Electric Company.
INTERROGATORY NO. 47i
Has your company or its subsidiaries or predecessor(s) ever conducted or caused to be conducted any studies designed to assist in minimizing or eliminating the inhalation of asbestos dust and fibers by those exposed to the use of your company's products? If so, give the following:
A. Name of the person or firm conducting such studies;
B. The date the studies began and the date they were completed;
C. Any publication or other written dissemination of the results of the studies;
D. The nature of any action to eliminate or minimize the inhalation of asbestos dust fibers;
RESPONSE:
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company did
not arrange for such studies since it did not manufacture, sell or
DEFENDANTS APPLETON ELECTRIC COMPANY'S AND EMERSON ELECTRIC CO. *8 ANSWERS AND
OBJECTIONS TO PLAINTIFF'S MASTER SET OF INTERROGATORIES AND REQUEST FOR
PRODUCTION
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distribute an asbestos-containing product during the time period in which Decedent alleges exposure to asbestos-containing products. Furthermore, Appleton Electric Company has found no records which indicate it ever manufactured, sold or distributed an asbestos containing product. INTERROGATORY NO.481
Does your company have, has it ever had, or have your predecessor(s) or subsidiaries ever had, a Research Department? If so, give the year such Research Department was established, and whether or not such Research Department has operated continuously since being established. State also:
A. The amount of time and money expended each year on research concerning asbestos or asbestos-containing products?
B. What percentage of gross sales did your company or its
predecessor(s) spend on research concerning the health
effects of asbestos?
C. State in detail the purposes,
duties,
and
responsibilities of such Research Department. RESPONSE:
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company has
DEPENDANTS APPLETON ELECTRIC COMPANY'S AND EMERSON ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PRODUCTION F:\EDVA05300.INT
PLAINTIFF'S MASTER SET OP INTERROGATORIES AND REQUEST FOR PAGE 46
a research department but is not aware of any research concerning
asbestos-containing products being performed since Appleton
Electric Company has no documents indicating it manufactured, sold
or distributed an asbestos-containing product.
INTERROGATORY NO. 49:
Does your company have, or has it ever had, or have your
predecessor(s) or subsidiaries ever had, a Medical Department? If
so, state:
A. The year such Medical Department was established;
B. Whether or not such Medical Department has operated
continuously since being established;
C. The name of each director, chief, or head of your Medical
Department year by year, beginning with the first year
you had a Medical Director or Medical Department, and the
last known address and phone number of each;
D. State the duties and responsibilities of such Medical
Department.
RESPONSE:
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company does
not have a medical department.
DEFENDANTS APPLETON ELECTRIC COMPANY'S AND EMERSON ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF'S MASTER SET OF INTERROGATORIES AND REQUEST FOR
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INTERROGATORY NO. 50l Did your company or its predecessor(s) or subsidiaries ever
place any warning directly on any of its asbestos-containing
product or on their packaging. If so, identify the product(s) and
year said warning was first applied.
RESPONSES
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company did
not manufacture, sell or distribute an asbestos-containing product
during the time period in which Decedent alleges exposure to such
products.
Therefore this interrogatory is not applicable.
Furthermore, Appleton Electric Company has found no records which
indicate it ever manufactured, sold or distributed an asbestos
containing product.
INTERROGATORY NO. 51?
Did your company or its predecessor(s) or subsidiaries ever
stamp or place the name of the company, its initials, or any
identifying logo on any of its asbestos-containing products? If
so, please state the name brand names of such products, a
description of such stamp or logo and the dates such were placed on
the referred products.
DEFENDANTS APPLETON ELECTRIC COMPANY'S AND EMERSON ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF'S MASTER SET OF INTERROGATORIES AND REQUEST FOR
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RESPONSE: Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company did
not manufacture, sell or distribute an asbestos-containing product
during the time period in which Decedent alleges exposure to such
products.
Therefore this interrogatory is not applicable.
Furthermore, Appleton Electric Company has found no records which
indicate it ever manufactured, sold or distributed an asbestos
containing product.
INTERROGATORY NO. 52:
Has your company, or your predecessor(s) or subsidiaries, ever
devised a research plan to develop, or actually developed or had
developed, a product which did not contain asbestos and which could
be substituted for one or more of your asbestos-containing
products? If so, state the date that such research plan was begun
and when such asbestos-free product was first placed on the market.
RESPONSE:
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company did
DEFENDANTS APPLETON ELECTRIC COMPANY' S AND EMERSON ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF'S MASTER SET OF INTERROGATORIES AND REQUEST FOR
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PAGE 49
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not manufacture, sell or distribute an asbestos-containing product
during the time period in which Decedent alleges exposure to such
products.
Therefore this interrogatory is not applicable.
Furthermore, Appleton Electric Company has found no records which
indicate it ever manufactured, sold or distributed an asbestos
containing product.
INTERROGATORY NO. 53:
Did your company or its predecessor(s) or subsidiaries ever
recall any products containing asbestos from the market or stream
of commerce? If so, state:
A. All details of such recall;
B. The name of the product recalled, including the reason
for the recall and the names and current addresses of
those individuals who determined that it should take
place;
C. The dates of recall;
D. The purpose for the recall.
RESPONSE:
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company did
not manufacture, sell or distribute an asbestos-containing product
during the time period in which Decedent alleges exposure to such
DEFENDANTS APPLETON ELECTRIC COMPANY * S AND EMERSOM PT^ECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIPP' S MASTER SET OF INTERROGATORIES AND REQUEST FOR
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products.
Therefore this interrogatory is not applicable.
Furthermore, Appleton Electric Company has found no records which
indicate it ever manufactured, sold or distributed an asbestos
containing product.
INTERROGATORY WO. 54t Before 1970, did you ever manufacture or sell products which
did not contain asbestos and which could be substituted for your asbestos-containing products? If so, state the date such asbestosfree products were first placed on the market. RESPONSE:
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company did not manufacture, sell or distribute an asbestos-containing product during the time period in which Decedent alleges exposure to such products. Furthermore, Appleton Electric Company has found no
records which indicate it ever manufactured, sold or distributed an
asbestos containing product. Therefore this interrogatory is not applicable. INTERROGATORY MO. 55:
Have any products you identified in your response to Interrogatory Nos. 52 and 54 not performed as intended? Please
list all such products that have not performed as intended.
DEFENDANTS APPLETOM BI^CTRIC COMPANY'S AND EMERSON RTJgeTPTC CO.* 8 ANSWERS AND
OBJECTIONS TO PLAINTIFF'S MASTER SET OF INTERROGATORIES AND REQUEST FOR
PRODUCTION
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RESPONSE!
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company did
not manufacture, sell or distribute an asbestos-containing product
during the time period in which Decedent alleges exposure to such
products. Furthermore, Appleton Electric Company has found no records which indicate it ever manufactured, sold or distributed an asbestos containing product. Therefore this interrogatory is not applicable. INTERROGATORY NO. 56:
Did your company or its predecessor (s) or subsidiaries ever
make, order, or arrange for any industrial hygiene surveys regarding asbestos or asbestos-containing dust? If so, give the date of such surveys and state who, or what entity, was responsible for completion of such surveys. RESPONSE:
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company did not arrange for any industrial hygiene surveys regarding asbestos
DEFENDANTS APPLETON ELECOTTG COMPANY*S AND EMERSON ELECTRIC CO.*8 ANSWERS AND
OBJECTIONS TO PIAINTIPF'S MASTER SET OF INTERROGATORIES AND REQUEST FOR
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or asbestos-containing dust as it did not manufacture, sell or
distribute an asbestos-containing product during the time period in
which Decedent alleges exposure to asbestos. Furthermore, Appleton
Electric Company has found no records which indicate it ever
manufactured, sold or distributed an asbestos containing product.
INTERROGATORY WO, 57t As to either the threshold limit values or maximum allowable
concentrations of both asbestos dust and total dust provided by the
American Conference of Governmental Industrial Hygienists, state:
A. The year in which Defendant or any predecessor(s) or
subsidiaries were first advised of such limits or
concentrations; B. The name of the employee or official of the company
receiving such advice; C. How Defendant received notice of such limits or
concentrations. RESPONSE:
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company did
not manufacture, sell or distribute an asbestos-containing product
during the time period in which decedent alleges exposure to an
asbestos-containing product.
Furthermore, Appleton Electric
DEFENDANTS APPLETON PT.FCTRIC COMPANY'S AND EMERSON ELECTRIC CO.'S ANSWERS AMP
OBJECTIONS TO PLAINTIFF* S MASTER SET OF INTERROGATORIES AND REQUEST FOR
PRODUCTION
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Company has found no records which indicate it ever manufactured,
sold or distributed an asbestos containing product. Appleton
Electric Company is not aware of ever being advised of threshold
limit values or maximum allowable concentrations.
INTERROGATORY NO. 58t Were the threshold limit values or maximum allowable
concentrations inquired about in Interrogatory no. 63 for total
dust, and not asbestos dust alone?
RESPONSE:
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information
which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company did
not manufacture, sell or distribute an asbestos-containing product
during the time period in which decedent alleges exposure to an
asbestos-containing product.
Furthermore, Appleton Electric
Company has found no records which indicate it ever manufactured,
sold or distributed an asbestos containing product. Appleton
Electric Company is not aware of ever being advised of threshold
limit values or maximum allowable concentrations.
INTERROGATORY NO. 59:
State in detail what tests, if any, Defendant ever made with
regard to the quantity, quality, or threshold limit values of
asbestos dust or particles to which workers were exposed while
DEFENDANTS APPU5TON ELECTRIC COMPANY'S AND EMERSON ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF'S MASTER SET OF INTERROGATORIES AND REQUEST FOR
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using, working with or around, or installing your asbestos-
containing products. response:
Appleton Electric Company objects to this interrogatory as it
is overbroad, assumes facts not in evidence and seeks information which is not relevant nor reasonably calculated to lead to the
discovery of admissible evidence.
However, subject to said
objections and without waiving same, Appleton Electric Company did
not manufacture, sell or distribute an asbestos-containing product
during the time period in which decedent alleges exposure to an
asbestos-containing product.
Furthermore, Appleton Electric
Company has found no records which indicate it ever manufactured,
sold or distributed an asbestos containing product. Appleton Electric Company is not aware of ever being advised of threshold
limit values or maximum allowable concentrations. INTERROGATORY NO. 60:
Please state the following with respect to each expert witness
that you may call during trial of these cases. Please designate
with specificity the expert witnesses that you will call,
including:
(a) The name, address, and job classification of each such
expert witness;
(b) The subject matter on which the expert is expected to
testify;
DEFENDANTS APPLETON ELECTRIC COMPANY * S AND EMERSON ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF'S MASTER SET OF INTERROGATORIES AND REQUEST FOR
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PAGE 55
(c) The substance of the facts and opinions to which the expert is expected to testify and a summary of the grounds for each opinion;
(d) Whether any person identified in subparagraph (a) above has provided a report or other documentation to you, and if so, identify each such document or report;
(e) Identify all documents that you have provided to each person identified in response to subparagraph (a) above;
(f) Describe in detail the education and work history of, and identify any books, treatises, articles, published and unpublished reports, studies or other scholarly works authored by any individual identified in response to subparagraph (a) above. Alternatively, in lieu of said response, attach a copy of a resume or curriculum vitae and a list of publications to your answers.
RESPONSE: Appleton Electric Company objects to this interrogatory to the
extent it seeks information beyond the permissible scope of discovery pursuant to Rule 166b of the Texas Rules of Civil Procedure. However, at this time, Appleton Electric Company has not made a determination concerning experts. A list of potential experts is attached as Exhibit "A". INTERROGATORY NO. 61:
Please state the name, present address and present telephone number, along with the experience and qualifications, if
DEFENDANTS APPLETON ELECTRIC COMPANY'S AND EMERSON ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF'S MASTER SET OF INTERROGATORIES AND REQUEST FOR
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applicable, of each and every person, known to Defendant or to Defendant's agents, having knowledge of facts relevant to these cases involving, but not limited to:
(a) identification of asbestos-containing products to which each and every individual Plaintiff, separate and distinct from all other Plaintiffs within the group, allegedly was exposed or facts disputing the identification of asbestos-containing products in this case.
(b) Each and every individual Plaintiff's, separate and distinct from all other Plaintiffs within the group, alleged damages, injuries and/or facts disputing each and every Plaintiff's alleged damages and/or injuries;
(c) the negligence of any person or entity other than Defendant which Defendant contends was a cause of each and every individual Plaintiff's, separate and distinct from all other Plaintiffs within the group, alleged injuries and/or damages;
(d) each of Defendant's defenses enumerated in Defendant's last filed Answer in each of these cases.
response: Keathley Patterson Electric Company employees, Pine Bluff, Arkansas Co-workers designated by the individual Plaintiffs. Potential experts on Exhibit "A", attached hereto.
DEFENDANTS APPLETON ELECTRIC COMPANY'S AND EMERSON ELECTRIC CO.* 8 ANSWERS AND
OBJECTIONS TO PLAINTIFF'S MASTER SET OF INTERROGATORIES AND REQUEST FOR
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Discovery is ongoing at this time and Appleton Electric Company will supplement this response pursuant to the Texas Rules of Civil Procedure. INTERROGATORY-NO. 621
Please identify documents which will be used at time of trial, (Exhibit List, Deposition List), which are relevant to each of Defendant's enumerated defenses in Defendant's last filed Answer. RESPONSE:
Appleton Electric Company objects to this interrogatory as it seeks information protected by the attorney-client and attorney work product privileges. Furthermore, Appleton Electric Company objects to this interrogatory as it seeks information beyond the scope of the Texas Rule of Civil Procedure 166b. INTERROGATORY NO. 63i
When, if ever, did Defendant or any of its predecessors-ininterest first receive a copy of the article entitled "A Health Survey of Pipe Covering Operations in Constructing Naval Vessels", published in January, 1946 in the Journal of Industrial Hygiene & Toxicology, and authored by W. Fleischer and P. Drinker, et al ("the Fleischer-Drinker Report")?
a. Identify the name and position of the employee or officer who received same;
b. please produce all documents generated by Defendant which discuss or in any way reference the "Fleischer-Drinker" study prior to 1968;
DEPENDANTS APPT.TTTON gT.gCTOTC COMPANY' S AND EMERSON ELECTRIC CO.'S ANSWERS AMD
OBJECTIONS TO PIAINTIFP'S MASTER SET OP INTERROGATORIES AND REQUEST FOR
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c. please produce all documents upon which your responses above are based;
d. please identify the name(s) and address(s) of any person(s) who can verify your above response;
e. did Defendant ever rely on the Fleischer-Drinker Report in whole or in part as a basis that Defendant's asbestos products could be used in the workplace without risk of asbestos-related health impacts to the consumer and/or bystander;
f. if so, please produce every document which evidences in any way that Defendant relied on the Fleischer-Drinker Report in whole or in part for the proposition stated in Interrogatory No. 63(a) above;
g. if your answer to 63(e) is yes, when was the first date Defendant relied on the Fleischer-Drinker report in whole or in part for the proposition stated in 63(e) above?
RESPONSES Appleton Electric Company objects to this interrogatory as it
seeks information which is protected by the attorney-client, attorney work product and party communication privileges. Appleton Electric Company did not manufacture, sell or distribute an asbestos-containing product during the time period in which decedent alleges exposure to asbestos-containing products. Furthermore, Appleton Electric Company has found no records which indicate it ever manufactured, sold or distributed an asbestos
DEPENDAMTS APPLwtom WT.BCTRIC COMPANY * S AND EMERSON RT.BCTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF'S MASTER SET OF INTERROGATORIES AND REQUEST FOR
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containing product.
Therefore, this interrogatory is not
applicable.
INTERROGATORY NO. 64: When, if ever, did Defendant or any of its predecessors-in-
interest first receive a copy of the article entitled "A Study of Asbestos in the Asbestos Textile Industry", published in 1938 in Public Health Bill, No. 241, U.S. Public Health Service and
authored by W.C. Dreessen ("the Dreessen Report")? a. Identify the name and position of the employee or officer
who received same; b. please produce all documents generated by Defendant which
discuss or in any way reference the "Dreessen" study
prior to 1968; c. please produce all documents upon which your responses
above are based; d. please identify the name(s) and address(es) of any
person(s) who can verify your above response;
e. did Defendant ever rely on the Dreessen Report in whole
or in part as a basis that Defendant's asbestos products
could be used in the workplace without risk of asbestosrelated health impacts to the consumer and/or bystander;
f. if so, please produce every document which evidences in
any way that Defendant relied on the Dreessen Report in
whole or in part for the proposition stated in
Interrogatory No. 63(a) above;
DEFENDANTS APPLETON ELECTRIC COMPANY'S AND EMERSON ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF* S MASTER SET OF INTERROGATORIES AND REQUEST FOR
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g. if your answer to 63(e) is yes, when was the first date
Defendant relied on the Dreessen report in whole or in
part for the proposition stated in 63(e) above?
RESPONSE:
Appleton Electric Company objects to this interrogatory as it
seeks information which is protected by the attorney-client,
attorney work product and party communication privileges. Appleton
Electric Company did not manufacture, sell or distribute an
asbestos-containing product during the time period in which
decedent alleges exposure to asbestos-containing products.
Furthermore, Appleton Electric Company has found no records which
indicate it ever manufactured, sold or distributed an asbestos
containing product.
Therefore, this interrogatory is not
applicable.
REQUEST FOR PRODUCTION REQUEST FOR PRODUCTION NO. li
Please produce a true and correct copy of each photograph of each asbestos-containing product identified in answer to Interrogatory No. 4. ANSWER:
Appleton Electric Company objects to this Request for Production as it is overbroad, assumes facts not in evidence, and seeks information which is irrelevant and not reasonably calculated to lead to the discovery of admissible evidence. However, subject
DEFENDANTS. APPLETON ELECTRIC COMPANY' S AND EMERSON ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFF'S MASTER SET OF INTERROGATORIES AND REQUEST FOR
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to sdid objections and without waiving same, Appleton Electric Company states that it did not manufacture, sell or distribute an asbestos-containing product during the time period in which decedent alleges exposure to asbestos-containing products. Furthermore, Appleton Electric Company has found no records which indicate it ever manufactured, sold or distributed an asbestos containing product. REQUEST FOR PRODUCTION NO, 2:
Please produce any diagrams or schematics indicating, stating or detailing the existence of any of your subsidiaries, predecessors, or divisions as defined on Page 1 of these Interrogatories and Request for Production. ANSWERS
No such documents exist.
Respectfully submitted, DeHay & Elliston, L.L.P. 1500 Maxus Energy Tower 717 North Harwood Street Dallas, Texas 75201-6508 Telephone (214) 953-5454 Telecopier (214) 953-5455
Q.OJeujcUD_________ GAR? D. ELLISTON State Bar No. 06584700 ERIC D. WEWERS State Bar No. 21236650
DEFENDANTS APPLETON ELECTRIC COMPANY'S AND EMERSON ELECTRIC CO.'S ANSWERS AND
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CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy of the above and foregoing document has been forwarded to counsel for Plaintiff, by certified mail, return receipt requested, and to all other counsel of record by U. S. Mail, postage prepaid, on this the _2?_ day of Xly__________, 1994.
A(2.. Ul
ERIC D. WEWERS
DEFENDANTS APPLETON ET.ECTRIC COMPANY'S AND EMERSON ELECTRIC CO.'S ANSWERS AND
OBJECTIONS TO PLAINTIFFS MASTER SET OF INTERROGATORIES AND REQUEST FOR
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THE STATE OF 4&SgIS
COOK COUNTY OF KBWXKXB
VERIFICATION
S S S
BEFORE ME, the undersigned notary public, on this day
personally appeared
Patrick Henry, known to me to be the
person whose signature appears below and who, after being first by
me duly sworn, on his oath deposed and said that he has read the
attached Answers to Interrogatories, and that every statement
contained therein is within his personal knowledge and is true and
correct.
PAT HENRY
SUBSCRIBED AND SWORN TO BEFORE ME on this the 26 July, 1994, to certify which witness my hand and seal of office.
day of
My Commission Expires: November 14, 1996
Notary Public In and/For
The State of
ILLINOIS
XAnzttooe
INhnrhtffeSttbeJKws County, to 18317*
CawHhiiDi
** If
VERIFICATION
Solo Page
EXHIBIT "A"
DEFENDANTS' GENERAL LIST OF MEDICAL STATE-OF-THE-ART, ECONOMIC, LIABILITY
AND DAMAGE EXPERTS
1. Dr. Hans Weill, a Board Certified Pulmonary Specialist at Tulane Medical School, 1700 Perdido Street, New Orleans, Louisiana.
2. Dr. Harry B. Demopoulos, Pathologist, Health Maintenance Programs, Inc., P.O. Box 252, Valhalla, New York 10595.
3. Dr. H. Corwin Hinshaw (by deposition), retired Emeritus Professor of Medicine at the University of California School of Medicine, P.O. Box 546, Belvedere, California 94920.
4. Dr. Edward A. Gaensler, Boston University Medical Center, 80 East Concord Street, Boston, Massachusetts 02118.
Drs. Weill, Demopoulos, Hinshaw, and Gaensler, if called to testify, are expected to provide testimony in the following areas:
a. Anatomy and function of the respiratory and circulatory system;
b. The nature of asbestos;
c. The symptomatology, disease process and diag nosis of asbestos and cancer associated with the respiratory system, peritoneum and perito neal cavity;
d. The nature and extent of medical and scientif ic knowledge regarding any association of obstructive pulmonary disease with asbestos fiber exposure;
e. The effect of exposure to substances other than asbestos on the development and manifes tation of obstructive and restrictive condi tions and diseases of the respiratory system;
f. Methods of diagnosis of various diseases particularly means of establishing the dif ferential diagnosis of alleged asbestos-relat ed diseases with other non-asbestos-related diseases;
g. Incidence of lung cancer among individuals with asbestosis, compared with non-asbestotic
DEFENDANTS* GENERAL LIST OF MEDICAL. STATE-OF-THE-ART. ECONOMIC. LIABILITY AND
DAMAGE EXPERTS
Page 1
f:\iibc*tot\<icfxpcrt.wk
' asbestos workers and with the general popu lation;
h. Cigarette smoking and its effect on the lung;
i. The relationship of cigarette smoking to cancer of the lung and cancers of other sites with reference to epidemiological studies and physiologic effect;
j. Difference between impairment and disability;
k. Effect of asbestosis on disability and life expectancy;
l. The lack of a relationship between presence of pleural plaques and a later development of any form of cancer; and
m. The history of evolution and knowledge of asbestos related diseases.
It is also expected that Drs. Weill, Demopoulos, Hinshaw, and Gaensler will testify that the medical community became aware that insulators with prolonged intense exposure might be at risk for asbestos related diseases in the late 1960's or early 1970's. Drs. Hinshaw, Weill, Demopoulos, and Gaensler will not testify con cerning the diagnosis or physical condition of these particular Plaintiffs.
5. Dr. R. Keith Wilson, Respiratory Consultants of Houston, 6535 Fannin, Fondren Building, Houston, Texas 77030.
6. Dr. Peter Heidbrink, a Board Certified Pulmonary Specialist at Southwest Pulmonary Associates, St. Paul Professional Building #2, 5959 Harry Hines Boulevard, Suite 711, Dallas, Texas 75235.
7. Dr. George Delclos, Pulmonary Section F907, Methodist Hospi tal, 6565 Fannin, Houston, Texas.
8. Dr. Gregory Foster, North Texas Pulmonary Associates, 375 Municipal Drive, Suite 140, Richardson, Texas 75080.
9. Dr. Scott R. Donaldson, North Texas Pulmonary Associates, 375 Municipal Drive, Suite 140, Richardson, Texas 75080.
10.
Dr. Paul M. Stevens, a Board Certified Pulmonary Disease Specialist and Professor of Medicine at the Baylor College of Medicine in Methodist Hospital in Houston, Texas.
DEFENDANTS * GENERAL LIST OF MEDICAL. STATE-OF-THE-ART. ECONOMIC. LIABILITY AND
DAMAGE EXPERTS
Page 2
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11.
Drs. Stevens, Wilson, Heidbrink, Delclos, Foster, and Donald
son will testify concerning their examination and diagnosis of the physical condition of the particular Plaintiffs. It is
expected that Drs. Wilson, Heidbrink, Stevens, Delclos and
Foster will testify that the Plaintiffs do not have asbestosis and will further testify concerning the overall condition and
the relationship of that condition, if any, to
Plaintiff's exposure to asbestos.
Each doctor will also
testify concerning the following areas:
a. Anatomy and function of the respiratory and circulatory systems;
b. The nature of asbestos;
c. The symptomatology, disease process and diag nosis of asbestos and cancer associated with the respiratory system, peritoneum and peri toneal cavity;
d. The nature and extent of medical and scientif ic knowledge regarding any association of obstructive pulmonary disease with asbestos fiber exposure;
e. The effect of exposure to substances other than asbestos on the development and manifes tation of obstructive and restrictive condi tions and diseases of the respiratory system;
f. Methods of diagnosis of various diseases particularly means of establishing the dif ferential diagnosis of alleged asbestos-relat ed diseases with other government warnings, smoking, and some areas of state-of-the-art.
g. Incidence of lung cancer among individuals with asbestos, compared with non-asbestotic asbestos workers and with the general popula tion;
h. Cigarette smoking and its effect on the lung;
i. The relationship of cigarette smoking to cancer of the lung and cancers of other sites with reference to epidemiological studies and physiologic effect;
j. Difference between impairment and disability;
DEFENDANTS * GENERAL LIST OP MEDICAL. STATE-OF-THE-ART. ECONOMIC. LIABILITY AND
DAMAGE EXPERTS
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k. Effect of asbestosis on disability and life
expectancy; l. The lack of a relationship between presence of
pleural plagues and a later development of any form of cancer.
12.
Dr. Elliott Hinkes, a Board Certified Oncologist and Hematolo gist at 301 North Prairie Avenue, suite 311, Inglewood, California 90301. Dr. Hinkes will testify concerning the relationship of asbestos and smoking to the development of cancer. Dr. Hinkes will also testify concerning the incidence of lung cancer among individuals with asbestosis or exposure to asbestos-containing insulation products.
13.
Dr. Keith Morgan, who will testify on state-of-the-art and the Saranac papers, to the effect that the Defendants could not have known and users were at risk until approximately the late 1960's.
14.
Dr. Forde A. Mclver, Pathology Associates, P.A., 135 Rutledge Avenue, Charleston, South Carolina 29401. Dr. Mclver will testify on state-of-the-art and the Saranac papers, to the effect that the Defendants could not have known end users were at risk until approximately the late 1960's.
15.
Dr. Joseph M. Miller, Box 365, New Hampton, New Hampshire. Dr. Miller will testify on state-of-the-art and the Saranac papers, to the effect that the Defendants could not have known end users were at risk until approximately the late 1960's.
16.
Dr. Jesse Steinfield, who will testify concerning government warnings, smoking, and some areas of state-of-the art.
17.
Dr. Stephen Ayres, Sanger Hall Room 1-014, Box 565, MCV Station, Richmond, Virginia 23298. Dr. Ayres will testify on state-of-the-art and the Saranac papers, to the effect that the Defendants could not have known end users were at risk until approximately the late 1960's.
18.
Dr. Elvin Adams, General Conference of SDA's, 6840 Eastern Avenue, N.W., Washington, D.C. 20012. Dr. Adams will testify on asbestos-related diseases' effects, and in particular on smoking's effects.
19.
Dr. `Thomas Wheeler, The Methodist Hospital, Department of
Pathology, 6565 Fannin Street, Mail Station 205, Houston,
Texas 77030.
Dr. Wheeler will testify regarding general
pathology and the pathology of the Plaintiff and/or Plain
tiff's decedent.
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20.
Dr. Robert O'Neal, Route l. Box 168, Perkinston, Mississippi 39573. Dr. O'Neal will testify regarding general pathology and the pathology of the Plaintiff and/or Plaintiff's dece dent.
21.
Dr. Andrew Churg, The University of British Columbia, 2211
Wesbrook Mall, Vancouver, B. C. Canada V6T1W5, phone number
604-228-7111.
Dr. Churg will testify regarding general
pathology and the pathology of the Plaintiff and/or Plain
tiff's decedent.
22.
Dr. James Robert Shepherd, III, University of Texas Health Center at Tyler, Department of Radiology, P.O. Box 2003, Tyler, Texas 75710. Dr. Shepherd is a B reader and will testify regarding the radiographs of the Plaintiff and/or Plaintiff's decedent.
23.
Dr. Sam H. Cade, Jr., Radiology Department, Baylor University Medical Center, 3500 Gaston Avenue, Dallas, Texas 75242. Dr. Cade is a B reader and will testify regarding the radiographs of the Plaintiff and/or Plaintiff's decedent.
24.
Dr. Allan Shulkin, Medical City Dallas Hospital, 7777 Forest Lane, Suite 202, Dallas, Texas 75230.
25.
Dr. Bobby F. Craft, Industrial Health, Inc., 640 East Wil mington Avenue, Salt Lake City, Utah 84106. Dr. Craft will testify that the medical community became aware that in sulators with prolonged intense exposure might be at risk for asbestos related diseases in the late 1960's or early 1970's.
26.
Dr. Jeffrey S. Lee, Building 512, University of Utah, Salt Lake City, Utah 84112. Dr. Lee will testify that the medical community became aware that insulators with prolonged intense exposure might be at risk for asbestos related diseases in the late 1960's or early 1970's.
27.
Dr. Oscar Auerbach, 158 Long Hill Drive, Short Hills,
Jersey 07078.
Dr. Auerbach will testify regarding
pathology of the Plaintiff and/or Plaintiff's decedent.
New the
28.
Dr. Donald Greenberg, The Methodist Hospital, Department of Pathology, 6565 Fanning, 2nd Floor, Houston, Texas 77030. Dr. Greenberg will testify regarding the pathology of the Plain tiff and/or Plaintiff's decedent.
29.
Dr. Michael D. Henderson, 330 Rittiman Road, San Antonio,
Texas 78209.
Dr. Henderson will testify concerning the
relationship of asbestos and smoking to the development of
cancer.
Dr. Henderson will also testify concerning the
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incidence of lung cancer among individuals with asbestosis or exposure to asbestos-containing insulation products.
30.
All physicians who have seen, examined, Plaintiff and/or Plaintiff's decedent.
and/or treated
31.
Dr. John E. Craighead Chairman, Department of Pathology A249 Given Medical Building University of Vermont College of Medicine Burlington, Vermont 05401
32.
A. Mitchell Polinsky, Ph.D. Stanford University Stanford, California 94305
33.
Dr. Robert Jones Tulane Medical School 1700 Perdido Street New Orleans, Louisiana
34.
Louis Calvin Solmon University of California in Los Angeles Los Angeles, California
35.
Mr. Phillip Bettoli, GAF Corporation, 1361 Alps Road, Wayne, New Jersey 07470. Mr. Bettoli will testify concerning the utility of asbestos-containing products.
36.
Charles Henry Drummond, Ceramic Engineering Ohio State University 2041 College Road Columbus, Ohio 43210
III
37.
Defendants reserve the right to call as expert witnesses all physicians who have seen, examined, or treated plaintiff; reviewed plaintiff's medical records; and/or been designated as a witness by any other party to this action.
38.
Defendants reserve the right to use any affidavit, deposition, answer to interrogatories, and/or answers to requests for admissions made by any party to this action.
39.
Defendants incorporate by reference, the depositions listed in Defendants' Designation of Deposition Testimony.
40.
Defendants reserve the right to call any witness who may be necessary for rebuttal testimony.
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41.
Jdmes E. Lockey, M.D., M.S., 3848 Chimney Hill Drive, Cincin nati, Ohio 45241.
42.
Lyle Haack who will testify as to products manufactured by CertainTeed Corporation.
43.
Dr. Phillip Cagle, Pathologist, Baylor College of Medicine, One Baylor Plaza, Houston, Texas 77030, who will testify regarding general pathology and pathology of Plaintiff and/or Plaintiff's decedent.
44.
All other expert and factual witnesses listed by plaintiffs and defendants in this lawsuit.
45.
William C. Schwingen, GAF Building Materials Corporation, 1361
Alps Road, Wayne, New Jersey, 07470. Mr. Schwingen is an
employee of GAF Building Materials Corporation. He will be
testifying regarding products manufactured by GAF or The
Ruberoid Co., including the manufacturing process.
His
testimony may also include the topics referred to in connec
tion with Mr. Bettoli.
46.
Dr. H. Corwin Hinshaw, by deposition testimony in "William L. Nicar v. Johns-Manville Sales Corp., et al", No. W-81-CA-8.
47.
Dr. H. Corwin Hinshaw, be deposition testimony in "In Re:
Related Asbestos Cases", No. C-83-6251-RFP, in the United
States District Court for the Northern District of California;
"In Re"
Related Shipyard and Applicator Cases:
Alameda
County Asbestos Litigation", in the Superior Court of the
State of California, in and for the County of Alameda; Misc.
No. 959, "In Re: Shipyard and Applicator Cases" (Clapper &
Brayton) Consolidated for Discovery, in the Superior Court of
the State of California, in and for the County of Solano; and
"In Re" San Francisco Asbestos Complex Litigation", in the
Superior Court of the State of California, in and for the City
and County of San Francisco.
48.
Dr. H. Corwin Hinshaw, by deposition testimony in "Jimmie L. Vaughan v. Johns-Manville, et al", No. CA3-81-0070-F; "William L. Nicar v. Johns-Manville Sales Corp., et al". No. W-81-CA008."Donald C. Lanier v. Johns-Manville Sales Corp., et al", No. CA-80-1983; Jesse Cupit v. Johns-Manville Sales Corp, et al". No. CA-81-0082; "Jerry Lynn Coon v. Johns-Manville Sales Corp., et al". No. CA-81-0077; "James L. Bush v. JohnsManville Corp., et al", No. Ca-81-0088; "Charles T. Burrow v. Johns-Manville Corp., et al". No. CA-80-1984; Ernest E. Adams v. Johns-Manville Sales Corp., et al", No. CA-80-1982; "A. E. Jacks v. Johns-Manville Sales Corp., et al". No. CA-80-1981; "Clinton Wayne Barlow v. Johns-Manville Sales Corp., et al",
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No. CA-80-1985; and "Willard Scott, Jr. v. Johns-Manville Sales Corp., et al", No. CA-81-0081.
49.
Dr. Hans Weill, by deposition testimony in "Ernest Howell v. Armstrong World Industries, Inc., et al", No. M-80-169-CA.
50.
John Sartain is an economist consultant and may testify regarding any economic loss incurred.
51.
William Lee Eschenbacher, Laboratory, The Methodist Houston, Texas 77030.
M.D., F988, Pulmonary Function Hospital, 6565 Fannin, Street,
52.
Dr. Joseph H. Bates 5 Glenridge Road Little Rock, Arkansas 72207
53.
Dr. Russell D. Sherwin 2011 Zonal Avenue, HMR-201 Los Angeles, California 90033-1054
54.
Dr. Dala R. Jarolim 12305 S. 14th Street Jenks, Oklahoma 74037-4903
55.
Any prior deposition or trial testimony of any witness called by any other party either live or by deposition.
56.
Any prior deposition or trial testimony of any physician who has treated, examined, or been consulted regarding the Plaintiff.
57.
Any deposition or custodian of records concerning the Plain tiff.
58.
Any prior deposition or trial testimony of any Plaintiff represented by Plaintiff's attorney herein.
59. Any deposition taken by any party in this case.
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