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IN THE UNITED STATES DISTRICT COURT EASTERN DISTRICT OF TEXAS BEAUMONT DIVISION
CECIL SCOTT, ET AL VS. MONSANTO COMPANY
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* * CIVIL ACTION * NO. B-84-1103-CA *
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VIDEO DEPOSITION OF
JACK T. GARRETT
3:24 p.m. to 7:56 p.m. May 28, 1987
Ramada Airport Inn St. Louis, Mi s s o u r i
Reported by:
Linda C. Baker Texas CSR No. 50 5/Notary Public
Nell McCall urn & Associates 2900 Smith, Suite 104 Houston, Texas 77006 (713) 523-3767
Taxable Cost: $ Charged to: DAVID M. LACEY, State Bar No: Attorney for; PIaintiffs
ESQ.
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1 APPEARANCES:
2 For the Plaintiffs:
3 DAVID M. LACEY, ESQ. Gilpin, Pohl & Bennett
4 Allied Bank Tower, 23rd Floor 1300 Post Oak Boulevard
5 Houston, Texas 77056
6 For the Defendant:
7 WALTER J. CRAWFORD, ESQ,
8 Wells, Peyton,' Beard, Greenberg, Hunt & Crawford
9 Petroleum Building Beaumont, Texas 77701
10 AND
11 ROBERT A. JONES, ESQ,
12 Woodard, Hall & Primm 4700 Texas Commerce Tower
13 Houston, Texas 77002
14 Videotechnician:
15 James Heironimus
16 Executive Service Groups
17 ********
18
19 Video Deposition of JACK T. GARRETT, taken
20 on May 28 , 1987, at Ramada Air port Inn, St. Louis,
21 Missouri, between the hours of 3:24 p.m. and 7:56 p. m.,
22 before Linda C. Baker, CSR No. 505 and Notary Public in
23 and for the State of Texas, at the instance of the
24 Plaintiff,.pursuant to Notice and the Federal Rules of
25 Civil Procedure.
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2 TABLE.OF CONTENTS
3
4 WITNESS: JACK T. GARRETT
5
6 APPEARANCES
7
8 PROCEEDINGS
9 EXAMINATION BY:
10 Mr. Lacey Mr. Jones
11
12 RE-EXAMINATION BY: Mr. Lacey
13
14 WITNESS SIGNATURE PAGE AND JURAT
15 REPORTER'S CERTIFICATE
16
17 LAWYER'S NOTES
18
19
20 21 *******
22
23
24
25
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2 4 5 141 170 205 206 207
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1 PROCEEDINGS 2
3 THE VIDEOTECHNICIAN: Okay. This
4
videotape deposition is being taken in
"
5 Cause No. B-84-1103-CA and is fil-ed in the
6 United States District Court for the
7 Eastern District of Texas, Beaumont
8 Division.
9 The style of the case is Cecil Scott
10 versus Monsanto Company.
11 For the record, the video recorder
12 today is James Heironimus of the firm
13 Executive Service Groups; and the
14 Certified Court Reporter present today is
15 Linda Baker of the firm Nell McCallum &
16 Associates.
17 We are here today to take the oral
18 and video deposition of the witness,
19 Mr. Jack T. Garrett; and we are located at
20 the Ramada Airport Inn in St. Louis, 21 Missouri.
22 Today's date is May 28th, 1987, and
23 the time is approximately 3:24 p.m.
24 Will Counsel now pi ease state their 25 appearances for the record.
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1 MR. LACEY: David La. cey, representing' 2 the pi ai ntif f s. 3 MR. JONES : My name is Robert Jones, 4 and I re present ,Monsanto Company. 5 THE VIDEOTECHNICIAN: Would ,the court 6 repo r te r pi ease swear in the witness. 7 8 9 10
11 12 JACK T. GARRETT/ 13 having been first duly sworn, testified as foilows: 14
15 SaAMIH&EIflM
16
17 QUESTIONS BY MR. LACEY:
.
18 Q Would you state your full name for the record,
19 pi ease, sir?
20 A Jack T. Garrett.
21 Q Where do you live, Mr.Garrett?
22 A In Kirkwood, Missouri.
23 Q How are you erapioyed?
24 A I ara retired.
25 q From what company are you retired?
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1 A Monsanto.
2 Q When did you start your employment with them?
3 A In January 1950. 4 Q And when did you retire? 5 A In November 1985.
---
6 Q Did you retire at the regular retirement age? 7 A Yes.
8 Q Tell me briefly about youreducational 9 background following high school. 10 A I have a B.S. Degree in Chemistry from Oklahoma 11 State University at Stillwater, Oklahoma. 12 Q Any subsequent education?
13 A And a Master's Degree in Chemistry from the
14 University of Tennessee at Knoxville.
15 Q .Any education, formal education? 16 A Formally, no. 17 Q Have you taken any specialized courses of any
18 type? 19 A Many, many. 20 Q In what areas? 21 A Industrial hygiene,pollution control, 22 management, management style. 23 Q When did you receive your Bachelor's Degree?
24 A 1948, August.
25
Q And your Master'sDegree?
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A December of 1949.
2 Q Your entire employment career, then, after you
3 completed your education was with Monsanto?
4 A That is correct.
'
5 Q When you started to work for Monsanto-,- what
6 type of employment did you have with them? 7 A I was a research chemist.
8 Q And how long were you a research chemist ?
9 A A little over three years.
10 Q Sometime in 1953 you changed to something else?
11 A That is correct.
12 Q What did you change to?
13 A I was transf erred from the Texas City plant to
14 St. Louis to the Central Medical Department.
15 Q And what was your assignment within the Central
16 Medical Department? .
17 A As an industrial hygienist --
18 Q Did you --
19 A -- and stream pollution control advisor.
20 Q Industrial hygienist and --
21 A And.
22 Q And what was the last? Extreme?
23 A Stream --
24 Q Str earn.
25 A -- pollution controladvisor,.
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1 Q Had you, at the point you took that job in the 2 Medical Department in 1953 , had any experience in 3 industrial hygiene? 4 A Experience at Texas City in studying the 5 products and processes of that plant, and preparing a 6 report showing the handling hazards of the products and 7 major raw materials of the plant. 8 MR. LACEY: As an aside, Bob, I feel 9 like I should ask about styrene tar, but 10 I'll pass. 11 BY MR. LACEY: 12 Q With regard to your work for stream pollution 13 control, what type of assignments did you have and what 14 did you do for Monsanto? 15 A .1 went to the individual plants. of the company, 16 advising them to -- if they had not done so, to study 17 their stream pollution probiems and begin to do things 18 about them -- about it if they had not done so. And 19 many of them had. 20 Q And you were going her e to Monsanto pi ants? 21 A Yes. 22 Q Did you continue to work with strearn pollution 23 control throughout your career with Monsanto? 24 A No. 25 Q With regard to the industrial hygiene^, what
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1 type of assignment did you have? 2 A To study the Monsanto manufacturing plants
3 worldwide, and to study the handling techniques and
4 procedures within the pi ants to protect the workers.
5 Q And did you retain those types of .duties
6 throughout your career with Monsanto?
7 A Yes.
.
8 Q When did you cease to have responsibilities for
9 stream pollution control?
10 A I am not coropletely sure, but '7 4 or '75.
11 Q What titles did you hold from the time that you
12 joined the Medical Department until your retirement?
13 A Manager -- Industrial Hygienist; Manager,
14 Pollution Control ; Manager, Industrial Hygiene; Manager,
15 Industrial Hygiene and Pollution Control; Industrial
16 Hygiene Director; and Industrial Hygiene and Information
17 Services Director.
18 Q At some point in time, did you start
19 supervising people?
20 A Yes.
21 Q When did you begin supervising people?
22 A In the early 170's.
23 Q So up to the early 170's, you were an employee
24 who was responsible for actually carrying out work and
25 reported to someone else --
,
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1 A Yes .
2 Q -- as opposed to supervising someone. Correct? 3 A Ye s.
4 MR. JONES: Jack, let him finish
5 his--
--
6 THE WITNESS : Excuse me.
7 MR. JONES: -- his -- his question
8 bef or e you answer it. It will just make
9 it a 1ot cleaner.
10 BY MR. LACEY:
11 Q In the early 1970s, you began to take on
12 management responsibilities?
13 A Yes. 14 Q And it was also at that time, I assume, that
15 you started your management training courses?
16 A Yes.
17 Q . How many people did you supervise from 1970
18 forward?
19 A I started out with one. And when I retired, I
20 was supervising 28 . 21 Q And was that a result of your increasing the
22 levels that you supervised, or j ust increasing the
23 number of people that repor ted to the position you
24 initially held? 25 A Thatwould bedif f icul t toanswer .
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1 Q Okay. What title did you hold when you started
2 supervising people?
3 A Manager, IndustrialHygiene.
4 Q And did you make any move up in the corporate '
5 structure after that point?
-
6 A Yes.
7 Q And did those upward moves result in your
8 supervising more people as a result of taking on more
9 responsibility?
10 A And mor e f unctions.
11 Q Okay. And the additional functions that you
12 took on related to at some point taking on the pollution
13 control function?
14 A Yes.
15 Q .And that meant there was an additional line of
16 people reporting to you that had not previously reported
17 as industrial hygienist?
18 A Yes.
19 Q When you took on the position or title of
20 Industrial Hygiene Director, did you still have
21 pollution control people reporting to you?
22 A No.
23 Q Did that result in a deerease in the number of
24 people reporting to you?
25 A No.
,
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1 Q And when you took on the title of Industrial
2 Hygiene and Information Service, did that add additional
3 people reporting back to you, or was that --
4 A Yes.
5 Q Okay. So there were groups both Of industrial
6 hygienists and information people, as well, reporting?
7 A Yes.
8 Q I want to focus my questions primarily on the
9 area of industrial hygiene, if we could. Tell me what
10 industrial hygiene is.
11 A It's the inter disciplinary science of
12 investigating and correcting workplace hazards.
13 Q Are there specific programs that one can study
14 this discipline?
15 A There are now.
16 Q I take it from the answer there at one time did
17 not exist such programs.
18 A No. There were no such programs specifically
19 issuing a degree or matriculation in industrial hygiene.
20 Q When did that first be come available?
21 A In the -- probably in the '60's and early
22 '70's.
23 Q Is there any type of group that tests
24 industrial hygienists, certifies industrial hygienists,
25
registers industrial hygienists --
'
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1 A Yes.
2 Q -- or the like?
3 A Yes. 4 Q What group is that?
. -
5 A That' s the American Board of Indus t r i al
6 Hy giene . 7 Q And sire you a member of th at group ? 8 A No. I am a member of the American Academy of
9 Industri al Hy gi ene .
10 Q Does the American Academy of Indus trial Hygiene 11 test -- 12 A Well, it would take some e xplanati on. 13 The American Board establi shes the criteria and
14 the ques ti ons and the circumstances and the times for
15 testing or for r unning the certification te sts, of which
16 there are two. 17 When you -- if you passf you are automatically
18 a member of the American Academy of Industrial Hygiene.
19 Q Is that the only way you can become a member of
20 that Academy?
21 A That iscorrect.
22 Q And you took the test andpassed?
23 A I did. 24 Q When did you be come a member ofthat Academy,
25 approximately?
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1 A Early '60's, when it was organized.
2 Q Did you take the test, or were you
3 grandfathered in?
4 A I took the test.
5 Q When you came to the Monsanto Medical
6 Department in 1950, who were the professionals then in
7 the department?
'
8 MR. JONES; I don't -- I object to
9 that question as a misch aracter ijzation 10 hi s prior testimony 0
11 BY MR. LACEY;
12 Q I'm sorry . Did you come to the Monsanto 13 Medical Department -- I'm sorry. 1953 14 A The other what? Excuse me. Restate the
15 que stio n. 16 Q When you came to the Monsanto Medical 17 Department in 1953 , who were the other professional
18 members in the department?
19 A The Direc tor was Dr. R. Emmet Kelly. The
20 Assista nt Director and my immediate superior was 21 Mr. Elm er P. Wheel er. There was a one -half time
22 physici an. Dr. R. E. Mez era, M-e- z-e-r -a; a technici.
23 medical technician ; and one seere tary.
24 Q Did Mr. Wheeler have any particular area of
25 spe cial iza tion?
--
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1 A Industrial hygiene. 2 Q So he was already there as an industrial
3 hygienist when you arrived?
4 A Yes.
'
5 Q Who was the next industrial hygienist-to join 6 the department, and when did he join? 7 A Dr. Carl D. Bohl, B-o-h-1. And he joined in 8 1970 or '71. I can't recall exactly.
9 Q So until 1970 , the only industrial hygienists
10 that Monsanto had were you and Mr. Wheeler. Correct?
11 A In the main office. 12 Q What other areas had industrial hygienists in 13 Monsanto ? 14 A The industrial hygiene responsibility lie with 15 the Safety Departments of the individual plants. 16 Q Did they have industrial hygienists on their 17 staff? 18 A Some of them had people doing that
19 particular -- particular parts of that particular 20 professional job, who 1ater became Certified Industrial
21 Hygienists. 22 Q Okay. So there were some people who got 23 on-the-j ob training, so to speak, like your self ? 24 A That is correct. 25 Q What was the f unction of the, industricQ
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1 hygienists who were assigned to the Corporate Medical
2 Department ?
3 A It was to maintain 1iaison with the corporate 4 medical structure with the plants, and to check the 5 pi ants thor oughly and make recommendations f or. change in
6 connection with hazards noted.
7 Q Did that mean that you spent a fair amount of
8 time visiting Monsanto plants?
9 A Yes, indeed.
10 Q About what percent of your time in the 19501s
11 was spent in actually visi ting Monsanto plants ?
12 A 5 0 , 6 0 percent.
13 Q In the 1960's, what per cent of your time was
14 spent visiting Monsanto pi ants?
15 A .Probably about the same.
16 Q Did that percentage go down in the 1970's, when
17 there were other industrial hygienists on staff and you
18 began to take on administrative responsibilities?
19 A Yes.
20 Q In the first half of the 1970's, what percent
21 of your time was spe nt visi ting Monsanto facilities ?
22 A 30 to 40 percent.
23 Q And in the second half of the '7 0's, what
24 per cent was spent visiting Monsanto facilities?
25 A Probably 20 to 25.
_
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1 Q Did you ever have responsibility for visiting
2 facilities other than those owned by Monsanto?
3 A Only when I was asked and allowed to by the
4 system.
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5 Q The system?
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6 A Subsidiary companies, that sort of thing.
7 Q Monsanto was organized, as I under stand it, at.
8 least the main company, into different divisions that at
9 one point in time were called operating companies,
10 although they were all part of the main Monsanto. Is
11 that correct?
12 A That is correct.
13 Q And those are plants that you would visit on a
14 regular basis. Correct?
15 A .That's correct.
16 Q And when you talk about subsidiaries, are you
17 talking about a diff erent type of facility?
18 A Yes.
19 Q What do you mean when you talk about a
20 subsidiary?
21 A We had a subsidiary in Mexico, for exampie,
22 that we owned a portion of. And -- and we would visit
23 at that pi ant.
24 We had subsidiary companies other than the --
25 we had some in the U. S. and some el sewhere tK3t we
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1 visited if we were told to visit them, if we owned
2 50 per cent or more of the company.
3 Q You would not visit subsidiary companies unless
4 Monsanto owned at 1 east 50 percent of it?
.
5 A Not necessarily. If we were inviteed-in and
6 agreements were made by Monsanto with the company, we
7 did; or if we had contractual obligations to do so, we .
8 di d.
9 Q Did you ever have assigned to you the 10 responsibility of visi ting plants of companies in which 11 Monsanto did not own an interest?
12 A Yes.
13 Q Explain that to me. 14 A In the handling of parathion and methyl
15 parathion, we visited all blending plants, or they did
16 not receive our product.
17 Q When you say "blending pi ants," are you talking 18 about companies to whom Monsanto sold the chemicals?
19 A That is correct. 20 Q How many companies or customers, I guess is -- 21 is how I will refer to it -- how many customers of
22 Monsanto did you visit in connection with that
23 assignment?
24 A Probably well over 10 0. 25 q Did you visit each customer only once?
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1 A Not necessarily.
2 Q What was the difference between those that were
3 visited once and those that were visited more than once?
4 A If they changed their process from handling
5 solid parathion applied to a -- an inert carrier, a dust
6 carrier, to handling that product as well as the
7 emulsified liquid product, we revisited them then to
8 make sure that the product handling was safe or we would
9 not sell it to them.
10 Q Is that the only occasion where you were ever
11 assigned as a part of your job duties with Monsanto the
12 responsibility to visit a pi ant belonging to a Monsanto
13 customer?
14 A That's a difficult question to answer, because
15 you leave the word out " if you were not r eque sted to do
16 so." And you must put that word in to get it answered.
17 Q Well, I'm not sure I understand. Were you
18 requested to visit these parathion customers?
19 A No.
20
Q Were there any othercustomer s1 pi ants
who you
21 were assigned to visit where Monsanto would not sell
22 them the chemical uni ess you visited the pi ant?
23 A Yes.
24 Q What else?
25 A There were two incidences where wevisited a
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1 processing operation and discussed the use of one of our
2 products.
3 Q What was that?
4 A PCB, or Aroclor in this case.
5 Q And who was that that you visited' to'"discuss
6 the use of Aroclor or PCB?
7 A I -- I can't recall the name of the companies.
8 I -- I even remember the -- the town one of them was in.
9 It was in Newark, Ohio.
10 Q Newark --
11 A -- Ohio.
12 Q -- Ohio.
13 A And it was one of the fiberglass companies.
14 Q Do you r emember anything about the other one ?
15 A .It was a f1oor tile company.
16 Q Do you remember where it was located?
17 A No. I hav e j ust don't recall.
18 Q In the floor tile, the PCBs were used as a
19 plasticizer?
20 A That was the request. We turned them down.
21 Q So they sought to become a customer of Monsanto
22 for PCBs to put into f1oor tile?
23 A That is correct.
24 Q And bef or e you would sell it to them, you went
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and you inspected their facility?
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1 A Yes . 2 Q And after inspection, you concluded it would be 3 wisest not to sell it to them? 4 A That is correct. 5 Q About when did thatvisit take place? _ 6 A I have -- I don't even believe Icould decade 7 it. 8 Q Okay. 9 A I probably -- well, that's conj ecture. 10 Q Give me what you were going to tell me about 11 what you think would be the most probable time frame. 12 MR. JONES: If you can, Mr. Garrett. 13 If you can't, tell him. 14 A ' 6 0 ' s . 15 BY MR. LACEY: 16 Q What about the fiberglass company? What were 17 they going to use the PCBs for? 18 A As a component of an adhesive to make pref orraed 19 ins ulation, pipe ins ula tion. 20 Q They were going to make an insulation for pipe? 21 A Preformed pipe ins ulation. 22 Q This went around a particular type of pipe? 23 A That's right. You could buy it now. You could 24 buy it 40 years ago. 25 Q Who made that prod- -- that type of psjoduct?
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1 Who were the companies that were in that business?
2 A The insulation companies, primarily.
3 Q Were people like Owens-Corning and folks like
4 that in that business?
5 A Yes.
6 Q And you don't recall whether that pi ant was the
7 Owens- -- Owens-Corning plant?
8 A No.
9 Q Did you sell them the PCBs f or that use ?
10 A No.
11 Q Do you recall when that was?
12 A No.
13 Q Can you even decade it?
14 . A Probably the '60's.
15 Q .Why.was it that you chose -- Monsanto, I
16 mean -- chose to inspect this fiberglass company plant
17 in Newark, Ohio, before considering selling them PCBs?
18 A It was a new use.
19 Q And what did that have to do with the issue of
20 inspecting it?
21 A In a new use of a product that required special
22 handling, we wanted the manufacturer to show us how he
23 would handle it.
24 Q Monsanto considered PCBs a product that
25 required special handling?
'
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1 A Indeed, they did.
2 Q What was the proposed handling method at this
3 fiberglass company plant?
4 A The material was a liquid adhesive applied to
5 fiberglass baths. The baths were then put -on--molds or
6 frames and baked.
7 It was our opinion that the baking process
8 produced, for the oven operators, excessive fumes.
9 Q So your conclusion was that the way in which it
10 would be used would present an occupational health
11 hazard to the employees of the proposed customer?
12 A That was the only reason I was there.
13 Q Did you recommend to this company ways in which
14 you thought that this problem could be resolved so that
15 they could become a customer?
16 A I told them if they wished -- they made no
17 comments at the time. I told them if they wished, to
18 calle me; and they did not.
'
19 Q Do -- you indicated to them you would make some
20 suggestions that might make it acceptable to be a
21 customer?
22 A No. I told them I would discuss it further
23 with them if they wished. I was in no position to make 24 recommendations to how they modified their mechanical
25 system of handling it. That's f or consulting engineer s
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1 and engineers that do that kind of design. 2 Q In the case of Monsanto itself and the plants 3 you visited, would you give recommendations on how to 4 modify a process in order to reduce the dangers from 5 exposure to PCBs? 6 MR. JONES: We're talking about these 7 two plants? 8 MR. LACEY: No. I'm talking about 9 Monsanto plants. 10 MR. JONES: Oh. 11 A In Monsanto plants? 12 BY MR. LACEY: 13 Q Yes, in Monsanto plants. Let me make the 14 question clear. 15 In Monsanto plants, would you make 16 recommendations about how to change your process in 17 order to reduce the hazards to Monsanto employees? 18 A Yes. 19 Q But since this was not a Monsanto plant, you 20 were not prepared to make those recommendations to this 21 customer? 22 A No. 23 Q No, that's correct; or yes -- 24 A Yes, that is correct. 25 Q Okay. You could have, infact, made sUch
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recommendations. You would have been qualified to, in
other words. Is that correct?
A The recommendations that would have been -- had
had to have been made there would have been engineering,
and that is not my forte.
- ---
Q I see.
A I am not an engineer.
Q Did Monsanto have on its staff industrial
hygienists who did have expertise in engineering?
A No.
Q Okay.
A We had them, but not at that time.
Q All right. When did Monsanto first get on its
staff industrial hygienists who had expertise in
engineering?
A In the
17 0 1 s.
Q Do you recall who the first industrial
hygienist was that Monsanto hired who had expertise in
engineering?
A Dr. Carl Bohl.
Q Now, what was the proposed use at the floor
tile company?
A I don't recall that fully. That was -- it just
is one of the those things that I don't recall well. I
don't recall that one.
.
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1 Q Whatever.it was, it was one that you decided
2 should not result in a sale of PCBs to that customer.
3 Correct?
4 A That is correct.
'
5 Q And was the reason f or that that yo.u, were
6 concerned that the way in which the customer proposed to
7 use it might pre sent a hazar d to its own workers as they
8 worked with the product?
9 A That is correct.
10 Q Do you recall thenature of the hazard that you
11 thought would exist for the employees of the floor tile
12 company in the way they propose d to use PCBs?
13 A No, I really don't.
14 Q Do you recall whether it involved elevated
15 temperatures or not?
16 A No.
17 Q Who assigned you to go and inspect these two
18 proposed customers?
19 A I was told by my immediate superior -- in this
20 case, E. P. Wheeler -- to do it.
21 Q That's Elmer Wheeler?
22 A That's right.
23 Q Do you know who -- strike that.
24 Did Monsanto have an expressed policy which
25 required that an industrial hygienist. examine the pi ant
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1 of any proposed customer prior to selling them PCBs? " 2 A On a policy base for new uses, apparently they
3 did. But I am not privy to that information.
4
Q
And at no point in your career did you ever
t
5 learn what the policy of company might be, except by
6 making some assumptions from what happened? 7 A I knew the policy of depar tment I wor ked in;
8 and the policies conne cted with -- with association with
9 customers was not my forte, and it varied.
10 Q What was the policy of the department in which
11 you worked about visiting a facility of a proposed PCB
12 customer before authorizing the sale to them?
13 A I really don't know, other than the fact that 14' if I were told to do that by my superior and who I was
15 to accompany, I went.
16 Q Okay. Who went with you on this visit to the
17 Newark, Ohio, plant, if anyone?
18 . A Somebody was with me, yes. It was Paul
19 Benignus.
20 Q Why did Mr. Benignus go with you?
21 A I haven't the vaguest.
22 Q Did he have any expertise to 1 end with regard
23 to industrial hygiene?
24 A No.
25 Q What did he do whil e you were exaraini-ag the
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1 proposed customer's faci1ity there in Newark, Ohio?
2 A I really don't recall.
3 Q Did you observe anythinghe did on the trip?
4 A Yes.
5
Q What did you observe him do?
---
6 A We went to the office of thecompany, the two
7 of us together; and they took us out to the -- this
8 purchasing area and showed us their pilot operation. 9 And -- and to the best of my -- I can't remember 10 exactly; but to the best of my knowledge. Paul was
11 there. 12 Q Did he have any input in your decision not to
13 sell the PCBs to them? 14 A I would assume so, but I do not know from my
15 own personal opinion -- recollection. 16 Q Did somebody go with you on the visit to the 17 fl oor t ile com pa ny ? 18 A I don't recall. 19 Q With the exception of the parathion and the 20 PCBs, were you ever assigned by Monsanto to visit any 21 other customers' facilities where they had not requested
22 that you come in and inspect them? 23 A Not to my recollection. 24 Q So the only chemicals that you are aware of 25 that Monsanto r equire d that a company- indust rial
NELL MC CALLUM & ASSOCIATES, INC.
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1 hygienist perform an inspection of a proposed new plant 2 use were PCBs and parathion. Correct? 3 A That I knew about, yes. 4 Q Was your area of practice as an industrial 5 hygienist restricted in any to particular chemi-eal 6 products that Monsanto made, or did it cover all the 7 chemical products that Monsanto made? 8 A 11 covered the Monsanto pi ants, all Monsanto 9 plants. 10 Q And -- 11 A Consequently, all Monsanto products. 12 Q Okay. So you weren1t limited to just working 13 with chemicals 1ike parathion and PCBs? 14 A No. 15 Q .You had some experience through going to the 16 diff erent plants and observing the processe s with all 17 the chemicals - 18 A Yes. 19 Q -- that Monsanto made. What pi ants of Monsanto 20 made PCBs? 21 A The Anniston, A1abama, pi ant and the pi ant in 22 Sauget, Illinois. 23 Q Is that the Krummrich pi ant ? 24 A That is the W. G. Kr ummrich plant. 25 Q And is Sauget, 111inois, directly across the
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30
river from St. Louis? A From the St. Louis waterfront, yes.
Q Did you have anything to do with the Monsanto
plant, joint venture plant, in Japan that made PCBs for
a period of time?
. .... --
A No.
Q Did you have anything to do with the Monsanto
plant in the UnitedKingdom that made PCBs? A Yes. Q Did you ever visit that plant? A Yes. Q Could we add that one, then, to the list of
plants that made PCBs - A Oh, excuse me. You're right. I'm sorry. Yes,
it was made in Europe. Q And what was that pi ant, if you recall?
A I -- we have two plants that manufactured organic chemicals there, and I can't tell you which one
it was. I think it was Newport, but I'm not sure.
Q Okay. Now, are you aware of the fact that through a
joint venture -- and I guess it would be what you
ref er red to as a subsidiary -- Monsanto manuf act ur ed
PCBs in Japan? A To be perf ectly honest, no, X wasn't a^are of
NELL MC CALLUM & ASSOCIATES, INC,
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1 i t.
2 Q Okay. That's fine. I won't bother to go into
3 it, then. You never visited any -- any Monsanto
4 facilities or joint venture or subsidiary facilities in
5 J a pa n ?
--*"
6 A No.
7 Q Okay. Now, when did you first visit the
8 Anniston, Alabama, facility where PCBs were made?
9 A Probably in an early part of my career in
10 St. Louis, but I can't conjecture beyond that.
11 Q When did you first visit the Krumrarich pi ant ?
12 A I was taken by my superior, Elmer Wheeler, to
13 both the St. Louis plants -- in fact, all three of the
14 St. Louis plants -- the first week I was here.
15 Q Okay. So you would have visited the
16 Kr ummrich -- the Kr ummrich plant right off the bat ?
17 A Yes.
18 Q Did you go to the Krumrarich pi ant from time to
19 time in carrying out your duties as an industrial
20 hygienist for Monsanto?
21 A Yes.
22 Q Did you go to the Anniston, A1abaraa, pi ant from
23 time to time the carrying out your duties as an
24 industrial hygienist for Monsanto?
25 A
Yes.
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1 Q When did you first visit the European plant 2 that produced PCBs for Monsanto? 3 A In the ' 601s. 4 Q How frequently did you visit that European 5 plant? 6 A Three times. 7 Q When was the last visit? 8 A In the ' 7 0 ' s. 9 Q How frequently did you - did you visit the 10 Krummrich plant in connection with your duties as an 11 industrial hygienist for Monsanto? 12 A Frequently. And -- and I would be conjecturing 13 if I gave you a number. 14 Q Okay. Would it be on the or der of once a year, 15 or once a month, or once a decade? What would 16 "f requently" be, just by general order of magnitude? 17 A Four to five times a month, probably. 18 Q Would you go to the sam e section of the pi ant 19 each time? 20 A Not necessarily. 21 Q I mean, would that be a -- a -- a plant visit 22 where you might show up anywhere? Is that the type 23 of -- 24 A Yes.
25 Q Okay.
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1 How frequently would you visit the Anniston,
2 Alabama, plant?
3 A Again, it would be conjecture. Three times a
4 year, maybe; four.
'
5 Q Why was the Anniston, Alabama, pi ant -v-isi ted
6 less frequently than the Krummrich plant? 7 A It has less processing units and less problems
8 connected with those units and those processes.
9 Q Would you -- strike that.
10 Was there some mechanism of assignment within
11 the Medical Department whereby within a particular 12 plant, like the Kr ummrich plant or the Anniston plant, 13 you were responsible for certain processes going on
14 there and someone else in the department was responsible
15 for oth er processes in that same pi ant ?
16 A No. 17 Q Did you f requently inspect the PCB-producing --
18 and I guess Aroclor would be maybe what it was called in
19 the pi ant -- the Ar oclor Department at the Kr ummrich
20 plant?
21 A You'd have to define "frequently." No, not --
22 it was not a target processing unit, necessarily.
23 Q What were the target processing units at the
24 Kr ummrich plant?
25 A Those manufacturing very hazardous maferials
NELL MC CALLUM & ASSOCIATES, INC.
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1 such as the sulfur chloride compounds and those sort of
2 things.
3 Q How frequently did you visit these sections of
4 the Krummrich plant that manufactured these sulfur
'
5 chloride compounds?
..
6 A Probably every time I was there. I can't
7 absolutely guarantee that.
8 Q How frequently did you visit the section of the
9 plant that produced Aroclor?
10 A That would be difficult, and it would be
11 conjecture. A 1ot of it would occur if they asked for
12 some specific reason, and they very infrequently asked.
13 Q Well, would it get a visit every once in a
14 while, even uninvited?
15 A .Yes.
16 Q How of ten would you make uninvited visits?
17 A At least once a year.
18 Q Okay. Was it a -- a rule that every section of
19 every plant get a -- an inspection by an industrial
20 hygienist at least once a year? 21 A The rule changed through the -- you're talking
22 hi story of 3 5 years. The rules changed. As we grew in
23 staff, we shortened those -- those requirements.
24 Q What was the rule initially when you came on
25 board?
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1 A We set up the procedure to do it every year on' 2 the larger plants. And here again, this was based on 3 the number of processing units. 4 Q Was the Krummrich plant in the once-a-year 5 category? 6 A Yes. 7 Q What category did the Anniston, Alabama, plant 8 fall into? 9 A It would probably be a kind of an interim 10 between the one-a-year and once every two years. 11 But, again, looking at 35 years, the change 12 that took place and the processing units that were added 13 there made it a target for one-a-year operations. 14 Q Okay. As the plant grew larger? 15 A .As the plant produced -- began to produce the 16 parathions. 17 Q The Krumm- -- I'm sorry. The Anniston, 18 Alabama, plant? 19 A The Anniston, A1abama, pi ant; yes. 20 Q Were there already in place in both the 21 Krummrich pi ant and the Annist on pi ant PCB units when 22 you started your employraent as an industrial hygienist 23 for Monsanto? 24 A To the best of my knowledge, yes. 25 Q When you first visi ted the European plant, were
NELL MC CALLUM & ASSOCIATES, INC.
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1 the PCB-producing units already in place?
~
2 A I do not recall.
3 Q Do you recall whether there were any 4 substantial changes to the PCB processes at the 5 Krummrich plant after you started being industrial 6 hygienist for Monsanto?
-
7 A You'd have to rephrase the question. What kind
8 of changes are you talking about? 9 10 (At this point in the deposition, 11 Mr. Crawf ord entered the deposition r oom)
12
13 BY MR. LACEY: 14 Q Well, anything that would affect the potential
15 hazard to the wor ker s at the plant. I don't mean an 16 expansion in the unit size, for example, that wouldn't
17 affect whether or not workers might be exposed in the
18 line.
19 A Not to my knowledge. 20 Q Were there any changes in the plant operations 21 at the Anniston, Alabama, pi ant af ter you star ted y our
22 career as an industrial hygienist for Monsanto that 23 changed the potential hazards to workmen in any way?
24 A No, not that I recall. 25 Q When you made your first inspections-f the PCB
NELL MC CALLUM & ASSOCIATES, INC.
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1 or Aroclor Departments at the Krummrich plantf did you 2 find the precautions provided there for the Monsanto
3 workmen to be acceptable?
4
A Yes. I may have tuned their attention
'
5 slightly; but yes, it was principally against,-the
6 exposure to chlorine.
7 Q And you found the practices to be acceptable?
8 A Yes.
9 Q What tuning of the practices did you make at
10 the Krummrich plant?
11 A Through the years, we studied proper protective
12 clothing, the penetration tests for gloves and aprons
13 and special clothing.
14 We studied the process operations, individual
15 operations, later and made recommendations for
16 individual operators based on their operating
17 classification. In other words, if it was a Class A
18 Operator, we made a specific requirement that a Cl ass A
19 Operator who operated the chlorinators did certain
20 things.
21 Q So you broke it down into an evaluation of
22 individual jobs within the unit?
23 A Individual j obs.
24 Q Had that previously been the case when you
25 started as an industrial hygienist for Monsanto-?
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1 A It had been started by Mr. Wheeler.
2 Q But had not been carried to conclusion, I take
3 it? 4 A No.
5 Q When you first visited the Anniston,Alabama,
6 plant, did you find the worker protections there to be
7 acceptable to protect the Monsanto employees working in
8 the Aroclor or PCB unit?
9 A Yes. I found them -- them -- them adequate.
10 Again, we tuned those, a s well, later when we had better 11 facilities; some of the rapid analytical equipment, the
12 squeeze-bulk-type equipment and so forth, but -- but
13 basically the same. 14 And in both pi ants they also manufactured
15 chiorine, and those handling rou- -- procedures were
16 pretty much routine f or chi orine-handling operators.
17 Q So in both plants, what you and Mr. Wheeler did
18 from the time that you started in the Medical Department
19 basically constituted fine tuning?
20 A In -- yes, and in studying all changes of an 21 engineering nature that took place in the plant, in the
22 process unit itself, through the years; and making
23 recommendations in the design stage of those processes.
24 Q Were there any process or design process 25 changes in the Aro cl or units at the Kr ummrich -plant?
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1 A They -- it -- it would be impossible to sort
2 that out. I went to two or three of these type of
3 meetings, frequently, a week.
4 Q You just don't recall?
"
5 A No, I do not recall.
---
6 Q What about in the Anniston plant? Would that
7 be --
8 A Same deal.
9 Q Okay.
10 A If a whole new process was being built, it
11 would be different, and I might remember it. But in --
12 in additions and changes, no.
13 Q Can you describe for me whatprotections were
14 provided to the workmen in the Aroclor unit at the
15 Kr ummrich plant when you j oined the Medical Department?
16 A The Krummrich plant had procedures inplace
17 that represented plantwide procedures that were
18 occa si one d by the other products manuf actured in that
19 plant and handled in joint facilities for storage and so
20 for th. So their procedures represented a ba sic pi ant
21 procedure, with the overlie of the procedures to handle
22 chiorine and the fini shed products.
23 This was diff erent at Anniston.
24 At Kr ummrich they were pr ovided company
25 clothing. They were given rubber boots on call"wherever
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1 it was needed. They were provided respirators. 2 Self-contained breathing apparatus was available in the 3 process units, and they were trained to use them. They 4 were provided gloves, and the operators who handled 5 drums were provided with aprons. They were provided 6 with the usual coffee pot. 7 MR. JONES: Just so that I under stand 8 what you're saying, are you saying that 9 that is plantwide, or are you saying -- is 10 th at just Ar oclor s? 11 THE WITNESS: The total bundle of 12 protection at the processing pi ant at 13 Krummrich represented the requirements for 14 the chi orine and the PCB expo sur es in that 15 processing unit, pi us what was r equired by 16 the pi ant; because the pi ant manuf actur ed 17 a number of highly toxic substances other 18 than what was manufactured in that 19 processing unit. This was not tr ue at 20 Anniston. 21 BY MR. LACEY: 22 Q So at -- at Kr ummrich you had some things that 23 everybody in the plant got? 24 A That is correct; everybody in that area of the 25 plant. Now, these were areawide, and the plant was
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1 large enough so that it was managed on an area basis. 2 Q Okay. Were there any of the protections that 3 were provided to Monsanto workers in the Aroclor
4 Department at the Krummrich plant that everybody in the
5 plant got?
- -~
6 A You're talking 35 years now. What portion of
7 the 35 years?
8 Q Well, I'm --
9 A The early part?
10 Q We can break it down. Let's j ust take the
11 1950's to start with. 12 A In the 1950's, a number of departments in the 13 Krummrich plant got company-owned clothing.
14 Q Did all departments in the plant --
15 A .No.
16 Q -- get that? 17 A No. 18 Q Okay.
19 A In the 197 0's, all departments got it.
20 Q Okay. Now, in the 1950's, did the Aroclor
21 Department get companywide clothing? 22 A Yes. 23 Q So they -- the Aroclor Department had the 24 companywide or -- I'm -- strike that. 25 So the Aroclor De partment had the company
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1 clothing before that became a plantwide provision?
2 A That1s correct.
3 Q In the 1950's, were there any worker
4
protections provided to the employees in the Aroclor
-
5 Department at the Krummrich plant that every.bpjdy in the
6 plant got, other than the coffee pot, I guess?
7 A The -- the program required that they be -- .
8 that they be provided with and trained in the use of the
9 protective clothing needed for the their job.
10 Now, keep in mind that the pro- -- that the
11 1argest industrial hygiene hazard in that process was
12 chi orine. They were provided with the necessary
13 short-term masks; and the unit was provided with the
14 necessary self-contained breathing apparatus, so-called
15 SCBAs. They were contained in compartments alongside
16 the processing vessels themselves. And --
17 Q Did everybody in the plant have that?
18 A No.
19 Q Okay. Well, I'm trying to find out right now
20 what, if anything, was provided to the workers in the
21 1950's in the Ar oclor De par tment at the Krummrich pi ant
22 that everybody in the plant got, I guess except for the
23 coff ee pot, if everybody in the pi ant got the coff ee
24 po t.
25 A And the phy si cal exam, which we absomtely
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1 insisted on. 2 Q Okay. And what w as the f r equency of that 3 physical exam? 4 A It -- it v aried. and you 'd have to check on the 5 individual plants. It was presumed to be on the- basi s 6 of every one to two years. 7 Q So in the ' 50's. the only thing that wa s 8 companywi de at the :Kr umrari ch -- I ' m sorry -- that was 9 plantwide at th e Kr uramrich plant wa s the phys i cal. 10 A And -- oh, the -- the -- I 1m sorry. The har d 11 hats -12 Q Okay. 13 A -- and the -- the glasses and cover goggles 14 were available to all employees, as were certain types 15 of gloves, ad -- ad lib. They could go get them from 16 the supply piace. They must wear the glasses, the -- 17 the helmets; and in certain areas, they must wear the 18 cover goggles over the glasses. 19 Q Okay. And those things were available at some 20 type of dispensary there in the plant to everybody 21 who -- 22 A Yes. 23 Q -- wanted them? 24 A And, in fact, it was a firing offense -- it was 25 a disciplinary offense not to have the gog- --'-"the
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1 safety glasses, the helmets, and hard- --hard-toed
2 shoes.
3 Q So an effort was made to enforce the rules by,
4 if necessary, terminating the employees.
'
5 A That is correct.
. .... --
6 Q Now, let's go to the 1960's. What things --
7 and I assume that we'd still have, of course, the things
8 you just mentioned: the hard hat and the saf ety go ggles
9 and steel-toed shoes -- but what things were supplied --
10 actually, were the steel-toed shoes supplied, or that's
11 just what a person bought to wear?
12 A It -- it varied. At first, you had to have
13 them; and at first, you paid a 1ittle for them. And 14 then I don't know when they stopped. When I was in --
15 originally in the first pi ant I was in, I paid half the
16 price for them. Later they were --
17 Q Free? 18 A --- provided byMonsanto free.
19 Q Okay.
20 A And thatoccurred in the ' 50 ' s. 21 Q Okay. In the 1960's, what additional things
22 wer e supplied the Krummrich pi ant on a pi antwide ba sis
23 as a part of worker protection?
24 A Well, I -- I can't say specifically the date; 25 but at some point in time, either in.the ' 6 0 ' s'" or the
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1 very early 1701s, the whole pi ant got company-owned
2 clothing.
3 Q All right. And did this mean that they got a
4 fresh suit of clothes each day?
-
5 A I don't know. You'd have to ask the Safety
6 Department at the plant. They did in -- in certain
7 areas, yes.
8 Q Did the people in the PCB Department get a
9 fresh suit of clothes each day?
10 A To tell you the truth, I don't know.
11 Q Was that clothing provided to them to use so 12 they could take it home and have it cleaned and bring it
13 back, or was it a fresh suit of clothes that the company
14 took care of for them?
15 A .It -- it depended on the department.
16 At first -- and, again, my memory would -- does
17 not serve me well in respect to when the clothing was
18 issued to the man and he could take it home, and when it
19 was picked up and laundered commercially by the company.
20 Certain departments, the clothing was issued
21 each day and was picked up each day and laundered by a
22 commercial laundry. As that expanded, it was one -- an
23 ev olutionary affair; ultimately, the entire plant.
24 Q And you do not recall whether the PCB
25 Department was from the outset one of those wh-eje the
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1 clothing was issued each day and laundered each day by
2 the company?
3 A All I know is that when I first went over
4 there, they had company clothes. Now, what particular -
5 scheme they were on, I do not recall.
..
6 Q All right. Did each employee have his own
7 changing pi ace and locker and the like?
8 A Yes. 9 Q And was that availableon a companywide basis 10 when you first went there?
11 A Yes.
12
Q What elsewas added
inthe 1960's or that
13 general - time frame, if you can recall, on a companywide
14 or a pi antwide ba sis at the Kr umrarich pi ant?
15 A .In the '60's, I -- a -- a -- a very excellent
16 new change house and handling procedure went into effect
17 with a very new change house; had much, much bigger and
18 more responded facilities for showers, and each operator
19 in many of the departments got double lockers and that
20 sort of thing. But I can't recall exactly when that
21 occurred.
22 Q What do you mean by "double lockers"?
23 A They had a street clothes locker and a -- and a
24 company clothes locker. 25 Q Well, what' s the purpose of a double irocker?
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1 A To keep the -- the company clothes and the
2 street clothes from intermingling.
3 Q And why would that be important?
4 A In some cases, it would be important for the
5 protective clothing if they had aprons and so- f'orth.
6 You don't want to get anything on the clothing.
7 Q You don't want anything that's on the -- the
8 aprons to get off on the street clothes. Is that --
9 A That is true. In many cases and in many
10 departments, that was important.
11 Q Was that double locker system provided in the
12 PCB Department?
13 A I don't recall.
14 Q Were there enough shower facilities when --
15 strike that.
16 Bef or e the new shower f acility was built in the
17 1960's, were there enough shower facilities for everyone
18 to take --
19 A Yes.
20 Q -- a shower? 21 A But they were scattered.
22 Q And then they were centralized in this new
23 building later ?
24 A That's true.
25 Q Did everybody in the pi ant ge t company"time to
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1 take their shower? 2 A I don't know. That's a plant labor relations 3 issue, not -- certain toxic problems required it. 4 Q Do you know whether or not the PCB or Aroclor' " 5 Department at the plant was one where that was-a part of 6 the safety program? 7 A I don't recall. 8 Q What changes took place in the 1970's where 9 additional things were provided on a company- or a 10 pi antwide ba sis at the Kr umrarich pi ant ? 11 A I don't know that additional stuff was 12 provided. The -- the only thing is that you had an 13 improvement in the proc- -- in the equipment that was 14 available, improvement in glove construction, 15 improvement in aprons, improvement in respirator 16 cartridges, and so forth. And that was kept up with by 17 the Krummrich plant Safety Department. 18 And by the '7 0 ' s, the Kr ummrich pi ant had an 19 industrial hygienist on their plant staff. 20 Q Do you recall who the industrial hygienist on 21 the Kr ummrich -- 22 A Clarence Buckley was the first one. 23 Q Clarence Buckley? 24 A Clarence Buckley. 25 Q And how long was he the industrial hygienist
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1 for the Krummrich plant?
2 A Till he retired. And I can't tell you when
3 that was.
4 Q Did his retirement precede yours?
5 A Yes.
........
6 Q I -- I take it from what you1 re saying that in
7 certain respects, the specific details of exactly what
8 precautions were being taken for worker safety in a
9 particular department of the Krummrich plant is
10 something that you don't have a specific recollection
11 on, but would be more within the province of plant
12 people or -- and subsequently even the industrial
13 hygienist at that plant?
14 A Subsequently, yes. Our principal job was
15 training.the Safety Department and later, when
16 industrial hygienists became available, them, in respect
17 to their individual plants.
18 Keep in mind that we manufactured 1800 products
19 in some -- at one time, 47 different plants; and it was
20 difficult for me to recall all those plants, although I
21 went through every one of them.
22 Q Were any of the departments at the Kr urararich
23 plant identified as being particularly toxic?
24 A You're going to have to define what you mean by
25 "toxic" or "hazardous. "
.'
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1 Keep in mind that certain things are -- that - 2 that a -- a stone might be toxic if you ground it and 3 dissolved it and fed it it. If it, however, is -- is - 4 has a high vapor pressure and can be released in -- in ' 5 an -- in an atmosphere or in a circumstance .wivere it can 6 get inside a person's body, either through the 7 respiratory tract, through the digestive tract, or 8 through their intact skin, then it becomes a hazard. 9 And we measured our programs connected with the 10 hazards associated. 11 Q Well, my question really is: Were there 12 specific departments within the Krummrich plant that 13 were associated as being particularly toxic or 14 particular -- particularly hazardous? 15 A There were departments that were more hazardous 16 than other departments, yes. 17 Q And were they so designated at the pi ant? 18 A They -- the -- the plant Safety, Industrial 19 Hygiene, and the management knew that -- those 20 departments where the potential for hazard was the 21 highest. 22 Q I guess what I'm asking: Was there any 23 particular designation assigned by Monsanto to 24 departments within the Kr umrarich pi ant saying, for 25 e x am pi e, "This department is a department thafdeal s
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1 with a toxic chemical"?
~
2 A That would depend on the product they made, or
3 the raw materials they used, or both.
4 Q Well, okay. But I take it, then, there were
5 some departments that were so designated and others that 6 were not. 7 A Yes.
8 Q Do you know whether or not the Aroclor
9 Department at the Krummrich plant was designated as a
10 toxic department? 11 MR. JONES: I'm going to object to
12 the question again. I believe his earlier 13 testimony was that they measured by 14 hazardous, not by toxic, but -- so --
15 BY MR. LACEY:
16 Q Let me -- let me j ust cl ear that up.
17 The designation that was given within the 18 Krummrich pi ant abo ut toxic departments was to refer to
19 them as a toxic department, was it not?
20 A Dh-huh.
21 Q You need toanswer verbally.
22 A Yes. 23 Q And the word "toxic" was the word that was
24 used, wasn't it?
25 A The word they used was "toxic. "
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52
Q Yes. Now, was the Aroclor Department at
Krummrich plant a toxic department?
A In the old -- in the old "toxic"
differentiation, I'm not sure. It was a
chlorine-handling department; and as such, it was a
hazardous department. And I could care less what they stamped on the front door.
Q You don't recall whether or not the Aroclor
Department was --
-
A No, I do not. I do not.
Q Okay.
.
Now, let me ask you -- we've been talking about
the precautions at the Krummrich plant throughout our
discussion here. I want to switch to the Anniston,
A1 a b am a, plant. Are you with me on that ?
A (Witness nods head up and down.) Yes.
Q At the Anniston, A1a b am a, plant, what
diff erences were there in the protections provided by
Monsanto to its workers in the Aroclor Department as
compared with the protections provided by Monsanto to
its worker s in the Kr ummrich Aro cl or Depar tment ?
A I don't recall, of my own recollection,
a ny t hi n g.
Q Fine. Your recollection at -- at this point is'
that worker s in the Aro cl or Department at Annis-Lon,
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1 Alabama, would have had exactly the same type of 2 pr otections that wor kers in the Ar oclor Department at 3 the Krummrich plant had? 4 A They would have had protection, yes. 5 Q Okay. And so everything that we've said about 6 the Krummrich plant would also apply equally to the 7 Anniston, Alabama, plant. Correct? 8 A To the best of my knowledge, yes. 9 Q Do you recall what provisions, if any, were 10 made in the European pi ant f or wor kers working in the 11 Aro cl or Department there ? 12 A No. 13 Q So you do not recall whether they would be 14 similar to those provided at the United States plants ? 15 A No. I don't recall. 16 Q Were there any other Monsanto plants that you 17 recall handling Ar oclor products besides the one in 18 Europe and the Anniston plant and the Krummrich plant ? 19 A Yes. 20 Q What other pi ants handled Aroclor pr oducts ? 21 A Virtually all of the plants used Aroclor in 22 their transformers by requirement because of the fire 23 pro blems. 24 Q That was a Monsanto requirement? 25 A 11 was a r equir ement of the insurance^
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1 carrier's, as I recall.
~
2 Q So Monsanto's insurance carrier said, "Use
3 transformers having PCBs in them"? 4 A To limit possible fire hazard, yes. 5 Q Separating out having a plant that had a
",
6 tr ansf ormer in it with PCBs in it, what pi ants, if
7 any -- other than the European plant, the Krummrich
8 pi ant, and the Anniston pi ant -- actually worked with 9 PCBs as a product that the workers were working with as 10 part of Monsanto's production? 11 A The J. F.. Queeney plant in St. Louis. 12 Q And what happened there?'
13 A They blended some of thefluids. 14 Q Were the wor ker s at the Queeney pi ant who 15 wor ked in the Aro cl or Department there provided with 16 like protections to those in the Aroclor Departments at
17 the Kr ummrich pi ant and the Anniston, Alabama, plant? 18 A No, beca use they did not handle chi orine. 19 Q I see. And what precautions were provided to 20 the wor ker s at the Queeney pi ant? 21 A Necessary clothing, gloves; and a good, tough 22 training program. 23 Q Did they have respirator s available?
24 A Yes. 25 MR. JONES: Did any of that~vary over
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1 a period of time? I -- I just want to try to get a - 2 time -- 3 MR. LACEY: Now, Bob, if you want to
4 ask questions, why don't you do that when. 5 I get through?
6 MR. JONES: Well, then, I object to 7 the question as being vague, because it 8 doesn't establish a time period.
9 MR. LACEY: Fine.
10 BY MR. LACEY:
11 Q In the 1950's, were PCBs being handled at the
12 Queeney plant?
'
13 A Yes.
14 Q Were the workers there provided with company
15 clothing? 16 A I don't know. 17 Q Were they provided with rubber boots on call? 18 A Yes. 19 Q Were they provided with respirators?
20 A On call, yes.
21 Q Gloves? 22 A Yes.
23 Q Aprons?
24 A Yes. 25 Q A cof f ee pot?
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1 A They had a coffee pot. 2 Q In the 1960's, were the workers at the Queeney 3 plant provided with the company clothing? 4 A Yes. 5 Q Rubber boots? 6 A The whole spread. 7 Q The whole spread? 8 A The whole spread. 9 Q What did the workers at the Queeney plant in 10 the 1950's not have in the Aroclor Department at Queeney 11 that workers at the Krummrich plant had in the Aroclor 12 Department there? 13 A A dif ferent set of instructions because of the 14 handling, and they did not have the facilities necessary 15 for chlorine resuscitation and that sort of stuff. 16 Other than that, the same. 17 Q So, with the exception of having a diff er ent 18 set of instructions beca use they were involved in a 19 somewhat differ ent process - 20 A That is precisely correct. 21 Q -- and the exception of not having whatever you 22 use to resuscitate soraeone from chiorine gas, because 23 there wasn't any chi orine gas there, the precautions 24 were identical? 25 A That's right.
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1 Q Was that also true in the 1960's?
-
2 A Yes.
3 Q Was that true in the1970's?
4 A Again, you're looking at eras in which they -
5 faded out of some of these businesses. They took the
6 old T-Building down that had some of these facilities in
7 them because it was old and -- and was renovated. And
8 this sort of evolutionary thing went by, and I don't
9 recall the exact dates.
10 Q That's fine.
11 A But to the degree that they handled and
12 manufactured the fluids containing Aroclors, yes.
13 Q Okay. That -- I think that answers the
14 question I had.
15 .And to summarize, then, if I understand it, the
16 only thing that the workers at the Queeney plant didn't
17 have by way of protection in their Aroclor Department
18 that was available at the Krummrich plant in their
19 Ar oclor Department wer e the things that were totally
20 irrelevant because it wasn't a manufacturing process
21 th er e.
22 A That's true.
23 Q In f act, the Q ueeney pi ant mer ely blended
24 diff erent Aroclor s together. Is that correct ?
25 A With other bl ending agents, yes.
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1 Q Was that done at elevated temperatures? 2 A Slightly.
3 Q Were the temperatures in the Aroclor Department
4 at the Queeney plant substantially lower than the
-
5 temperatures in the Aroclor Department at the Krummrich
6 plant?
7 A In -- I -- I -- we're getting into chemical
8 processing now.
9 The -- in -- the use of heat in the Aroclor
10 Departments at Queeney was to make it easier for them to 11 blend. The heat that resulted in the Aroclor
12 Departments at Krummrich and was heat-exchanged was the
13 heat generated in the process itself in the chlorination
14 of biphenyl.
15 Q .But my question simply is: Were the Aroclor
16 workers in the Queeney plant dealing with products at a
17 significantly lower temperature than the workers in the
18 Aroclor Department at the Kruramrich plant?
19 MR. JONES: Obj ect to the question on 20 the terra "significantly" as being vague.
21 BY MR. LACEY:
22 Q Do you have a pr obi era with that?
23 A The problem is this: The -- the temperatures
24 in handling the fini shed fluid were the same. The
25 temperatures in -- where they manufactured it were
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1 different, because the temperatures were the result of -
2 the manufacturing process --
3 Q I understand.
4 A -- that way.
-
5 Q And the eff ect of that was that in the Ar oclor
6 Department at the Krumrarich plant, one found chlorinated
7 diphenyl as it was coming out of the raanufacturing
8 process at a significantly higher temperature than it
9 was ever at in the Queeney pi ant. Correct?
10 A In the front -- in the manufacturing end of the
11 process. The rest of the process was all the same. It
12 was air-stored.
13 Q I understand.
14 A Yes.
15 Q Once you got it cooled down -
16 A That's right.
17 Q -- it was cooled down to the same temper atur e?
18 A This is direct.
19 Q But when the PCBs actually came out of the
20 manufacturing col urnn where --
21 A They wer e hot. 22 Q -- the diphenyl waschlorinated, they were
23 considerably hotter than they ever wer e at the Queeney
24 plant. Correct?
25 A I don't know how much hotter. They were
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1 hotter.
-
2 Q Okay. And the exact temperature, you don't
3 know? 4 A No, I do not. 5 Q When one was using Aroclor at an elevated
6 temperature, that gave you more cause for concern as an
7 industrial hygienist? 8 A Studying the vapor pressure curves and the 9 opera ting temperature of its use, yes. 10 Q In fact, that was one of the reasons that you 11 did not approve of permitting this Newark, Ohio,
12 facility to buy PCBs, because they were going to be
13 baking it. Correct? 14 A No, that is not fully correct.
15 Q . I see.
16 A They were going to be pyrolyzing it in part.
17 Q I see. And pyrolyzing it implies adding heat, 18 does it not?
19 A To destr uctiv e levels, yes. 20 Q What's the problem with pyrolyzing PCBs? 21 A You 1 re back to chiorine. 22 Q Okay. 23 A Actually, in this case chlorine and HC1 and a
24 whole host of short-chained fragments, which would be 25 chlorinated or ga nic f ragments.
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1 Q What do you mean by a "chlorinated organic
2 fragment"?
3 A If you take a product, PCBs or anything else,
4 and ran the temperature up high enough to completely
5 pyrolize it -- that means to destroy it by .heat-
6
oxidation
you would get C02, HCl, and C12. Most
7 likely, that would be -- and probably some water vapor,
8 H20. Okay.
9 But if you py rolyz ed it at 1esser temperatures
10 or times, you would get the intermediate products of -
11 from the Aroclor itself to all these completely final
12 pro ducts. And they could be all kinds of pieces and
13 bits of chlorinated organic compounds.
14 Q Things like chiorinated dibenzofurans?
15 A .The -- no, because you're talking about
16 destructive pyrolysis. And the dibenzofurans, if they
17 were there, were in -- were destroyed along with the
18 Aro cl or.
19 Q No, I'm talking about this process where you
20 have pyrolysis, but incomplete pyrolysis. Would that
21 lead to the formation of chlorinated dibenzofurans?
22 A Tha t wo uld be conj ectural, but it's possible.
23 Q Chlorinated dibenzodioxins?
24 A Probably not.
25 Q I see. So your thought process is thsrt in this
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1 incomplete pyrolysis, one might find the formation from
2 PCBs of chlorinated dibenzofurans, but not chlorinated
3 dibenzodioxins. Correct?
4 A I don't know. I've never seen any data that t
5 says one way or the other.
_
6 Q I see.
7 Did you, in your function as an industrial
8 hygienist f or Monsanto, concern yourself with
9 by-products that would be made in the manufacturing
10 process?
11 A We looked at the manuf acturing process as a
12 producer of a product. That product then was our
13 concern. If the product had some special or specific 14 hazard associated with it, we needed to know it and
15 utilized.it to f rame pr oper protective f acilities and
16 f or additions to our literature covering the handling of
17 that product.
1 8 Q I don't think I asked my question very well,
19 apparently.
20 In the process of man uf acturing a chemical
21 where you set out to make a pa rticular chemical like
22 PCBs, you of tentimes encounter a situation where, even
23 though you don't set out to do it, you wind up ma king
24 some other chemicals along the way; what I might call 25 contaminants. Isn't that corr ect?
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1 A It -- it's possible, but not very probable in ' 2 this process. 3 Q I see. Did the Medical Department of Monsanto 4 ever give any consideration to whether or not it needed 5 in its program for protecting its workers to determine 6 whether or not there were any by-products or contaminant 7 or undesired chemicals that were made in the process? 8 A Not to my knowledge. 9 Q Do you know whether or not there were any such 10 chemicals manufactured in the process? 11 A Not to my knowledge. 12 Q To yourknowledge, there were not? 13 A Therewere not. 14 Q Okay. Are you aware of any processes at 15 Monsanto.where you did find a problem of these 16 by-products or contaminants being made along with what 17 the process was designed to make? 18 A Yes. 19 Q And was it as impor tant -- was it impor tant to 20 you as an industrial hygienist to be knowledgeable of 21 what those contaminants or by-products were and how 22 their presence might affect the hazards posed by the end 23 product which contained those? 24 A Yes. 25 Q By-products 1 ike that can, even in sm-4ll
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1 quantities, render the mixture with which they're in 2 more toxic than it would otherwise be. 3 MR. JONES: I'll object to the 4 question, unless you get a little bit mor-e 5 specific as to what you mean by 6 "contaminants." 7 BY MR. LACEY: 8 Q Well, by "contaminant," Mr. Garrett, I mean any 9 chemical that is made while you're trying to produce a 10 particular chemical. 11 To give a good example, Monsanto made a 12 chemical known as 2,4,5-T, did it not? 13 A They did. 14 Q And one of the contaminants that can be made in 15 the process of making 2,4,5-T was dioxin, was it not? 16 A No. Spe cifically, no. 17 Q I see. 18 A Chlorodioxins, yes. 19 Q Okay. Well, that's fine. I -- I'll accept 20 your definition. 21 The chi or odioxins that were made while you were 22 trying to make 2,4,5-T were not a product you were 23 seeking to make. Correct? 24 A No. That is correct. 25 Q And, ther ef or e, we could ref er to th.ose
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1 chiorodioxins as a contaminant, could we not?
-
2 A That's correct.
3 Q Okay. Now, my question, in having gotten
4 "contaminant" defined so we can understand it; With a ,
5 process where, in addition to making what you want to
6 make, you make something else along with way that's a
7 contaminant, the contaminant may, depending on its own
8 toxicity, make the entire product that contains the
9 contaminant considerably more toxic than it would
10 otherwise be. Isn't that correct?
11 A It's a concentration issue. It's a -- it's
12 a -- it's a factor of concentration, yes.
13 Q But if, for example -- and let me see; I don't
14 know -- I -- I'm sure I can't come up with any example
15 that's a real chemical e x am pie, but -- I guess I'll use
16 one that's real silly. But if we were making water -
17 and I know you wouldn't do that, but let's just assume
18 I'm making water in a chemical pi ant; that's what I'm
19 setting out to do -- and along the way in the process of
20 doing it, I make 100 parts per million of some very,
21 very toxic chemical, that might make the whole thing
22 very hazardous, even though water by itself would be no
23 problem. Correct?
24 A Probably true.
.
25 Q Okay . And that ty pe of probl em can e_&i st and
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66 1 does exist in the chemical manufacturing business in - ~ 2 numerous processes, does it not? 3 A Yes. 4 Q And that's something that's of importance to . 5 the industrial hygienist who's trying to protect workers 6 from health probiems in dealing with or being exposed to 7 chemicals. Corre ct? 8 A That is something that would influence al1 of 9 the production facilities and the company itself, 10 because the company has no desire nor any wish to harm 11 any of its employees -- 12 Q All right. 13 A -- or its customer's employees. 14 Q Now, let me ask you about other types of visits 15 that you.made to plants. You mentioned earlier that in 16 some case s, or you alluded earlier to the fact that in 17 some cases you were invited into customers' facilities. 18 Is that correct? 19 A That is correct. 20 Q Under what circumstances would you be invited 21 into a Monsanto customer's facility? 22 A Where they wanted information from us 23 concerning programs, where they wanted information from 24 us on how to handle products that we already handled. 25 Q And was that a service that Monsanto_j?rovided
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1 to its customers as the manufacturer and seller of 2 chemicals to them? 3 A Ordinarily not. It -- I went into very few 4 customer plants in respect to looking at anything. I've 5 been in many of them to talk to them and talk,-t-o their 6 people, but -- you -- I -- it's surprising how few 7 customer plants I've actually inspected. 8 I've talked to their people and they've 9 explained to me some of their processing and operations, 10 and I've explained to them some of ours. But as far as 11 viewing them is conce rne d, very few. 12 Q Well, did you turn down requests from customers 13 to come in and look at their plants and help them? 14 A I didn't turn them down, no. 15 Q Are you aware of any such requests -- 16 A No. 17 Q -- beingturned down? 18 A No. 19 Q So my question still is, then: Was that a 20 service that Monsanto provided to its customers on their 21 request ? 22 A A regular service provided, no. Did we do it? 23 I assume we would have and could have. 24 Q And, in fact, did? 25 A Well, we may have and -- at yery, very few
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68 1 time s . 2 Q Well, you did that on a few occasions, did you 3 not ? 4 A That would be hard to say. I don't -- unless 5 they were Monsanto companies or Monsanto subs,i-diaries , 6 or we had contractual obligations with them, two 7 reasons; One, we probably would not have been invited, 8 had they been a competitor in any way; and, No. 2, that 9 our time was so -- stretched so thin on our own 10 processing operations and the safety of our own people 11 that it would have been very difficult to do it. 12 Q Well -- 13 A I don't recall being in a customer's plant. 14 Q Okay. Well, let me just ask that very -- a 15 very clear question; Do you recall visiting any 16 customer -- Monday customer's plant while you were an 17 industrial hygienist for Monsanto? 18 A I don't recall. 19 Q And let me be very specific; Did you ever 20 visit any facilities of the TVA? 21 A No. I visited their offices on a number of 22 occasions. 23 Q But not in their f acility? 24 A Not i n thei r facil i ty. 25 Q Did you ever visit any Westi.nghouse facility?
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1 And, again, I'm not talking about the offices; I'm
2 talking about in the plants.
3 A No.
4 Q Did you ever visit any Ford facility? And,
5 again, I'm talking about in the plants; not in.,,the
6 offices.
7 A No, but I've been in Dearborn in the offices,
8 as you might imagine.
9 Q I'm sorry?
10 A I've been in Dearborn in the offices of Ford.
11 Q So you have no firsthand knowledge about what
12 conditions existed in any facility operated by
13 Westinghouse? Is that correct?
14 A That is correct.
15 Q You have no fir sthand knowledge about the
16 conditions that existed in any facility operated by
17
Ford? Is that correct?
.
18 A That is correct.
19 Q And you have no firsthand knowledge about the
20 conditions that existed in any facility operated by the
21 TVA. Is that correct?
22 A That is correct.
23 Q Okay. Now --
24 MR. JONES: Let's take a break if
25 that's a good breaking point. --
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1 MR. LACEY: It's really not. Let me 2 go ahead and finish up this line of
3 questions. 4 BY MR. LACEY: 5 Q With regard to visits to the offices..Qf
-
6 companies, what visits, if any, did you make to Ford
7 offices? 8 A I -- I was in the Ford office in Dearborn, and
9 I was there to talk to their hygiene people, and I -- 10 their Hygiene Director about something, and I can't
11 recall what it was about. And I can't recall who it was
12 at the time.
13 Q Do you recall whether it had anything at all to 14 do with any product sold by Monsanto that contained
15
PCBs?
.
16 A I don't think so, but I'm not sure.
17 Q If it did, you can't recall the details of it? 18 A I cannot recall the details.
19 Q Did you make any visit to the offices of the
20 TVA? 21 A Yes, in -- in Chattanooga only. That's their
22 technical offices, as you know. 23 Q And what was the purpose of that visit?
24 A Pollution control. 25 Q Specifically what was it that was the'^poll ut i on
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1 problem?
2 A We were trying to put a plant on one of their
3 lakes.
4 Q Put a pi ant --
'
5 A We were building a plant on one of the. TV A
6 re servoirs.
7 Q And you wanted to use their cooling water?
8 A No. We wanted -- we were going to treat, the
9 waste; but we had a discharge that we were going to
10 make, and we had to clear with the State of Alabama
11 Water Improvement Authority and the TVA technical
12 pollution people in Chattanooga. 13 Q So the only discussions you had with the TVA in
14 their offices was about getting their approval for some
15 effluent discharges that a Monsanto pi ant was going to
16 ma ke ?
17 A That is correct. 18 Q Tell me about office visits with Westinghouse,
19 if any .
20 A I don't believe I've ever -- I don't even know
21 where their offices are. I think they're in Pittsburgh,
22 but I'm not even sure of that.
23 Q So it is your recollection you never made an
24 office visit to any Westinghouse facilities.
25 A No.
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1 Q Is thatcorrect? 2 A No. That is correct. I -- Ihave not. 3 Q Okay. 4 MR. LACEY: If you wanta take a * 5 break right here, we can take a -- a what? 6 A five-minute break? 7 MR. JONES: That's fine. 8 9 (Recess) 10 11 THE VIDEOTECHNICIAN: Okay. We've 12 been off the record for a short break. 13 We're now back on the record. The time is 14 5:13 p.m. 15 BY MR. LACEY: 16 Q Who was Dr. D. S. Weddell, W-e-d-d-e-1-1, if 17 you know? 18 A I don't recall, if I know -- ever knew. 19 Q Mr. F. T. Mar shall: Do you knowwho that was ? 20 A Not -- not -- I've -- I know someMarshalls, 21 but that -- don't -- shouldn't -- shouldn't 22 necessarily -- I don't recall. 23 Q Who was E. Mather,M-a-t-h-e-r? 24 A The name - 25 MR. CRAWFORD: Well, you've^got a
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1 document there. Why don't you show it to
2 him? Maybe it will help him.
3 A The name strikes a chord, but that's all.
4 BY MR. LACEY:
`
5 Q Well, let me show you a document. I'ffl. really
6 trying to identify names; but since Mr. Crawf ord wants 7 me to let you look at it, I'll do that.
8 Let me show you a document that's dated
9 December 17th, 1951, written by E. Mather, apparently to
10 P. J. C. Heywood, with copies to a number of people here
11 (tendering). And does that help you identify who
12 Mr. Mather is?
.
13 MR. CRAWFORD: What's the number on
14 that document at the bottom?
15 THE WITNESS: 048767.
16 A I don't recall. This is before I came to --
17 even came to work at the Medical Department.
18 BY MR. LACEY:
19 Q I see.
20
A Mather -- no.
I don't recall.
21 Q Okay.
22 Let me show you a memo dated November 14th,
23 1955, Document 3 896 8 (tendering) , and ask if that's a
24 memo that you authored.
25 A Yes. I wrote
it. *--
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74
Q Is that your signature on it? A It is, indeed. Yes, it is. Q Was that a memo that you had stamped "Confidential"? I note that one is stamped "Confidential." A I didn't stamp it "Confidential." I have no idea who did. Q Okay.
MR. CRAWFORD; Are you going to ask him about it?
MR. LACEY; Yeah, I sure am. I'm going to ask him some questions about it. BY MR. LACEY: Q In this memo signed by you, it talks about the opinion of the Medical Department. Is that the way that you a customarily wrote memos that had to do with matters of worker safety; to say it was the Medical -- A If it was, in fact, the opinion of the Medical Department more than just myself. Q If it were -- A If it was just me, I would say, "In my opinion. " Q Okay. So this particular memo was more than just your opinion; it was the opinion of others in the Medical Department
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75
A That is correct.
Q -- as well?
A That is correct.
Q Who else shared the opinions set forth in that ^
memo with you?
_
A I would suspect it was Doc- -- it was Elmer
Wheeler, but -- because he was my immediate boss. But I
can't -- I can't really -- it's too long ago.
Q Were memos like that not sent out unless they
were first approved by some superior?
. A No.
Q No, they were not sent out; or no, they -
A No. Dr. Kelly and his group -- many times I
would ask him about them; but in his group, he trusted
our testimony judgment and all owed us to choose
our selves.
Q Okay.
MR. LACEY: May I see it, Walter.
MR. CRAWFORD: Oh, yeah; sure
(tendering) .
BY MR. LACEY:
Q The recommendation of this memo is that eating
of 1unches sho uld not be all owed in the Aro cl or
Department of the Krumrarich pi ant (tendering) . Is that
correct?
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76
A Yes.
''
Q What was the customary practice there at the
Krummrich plant with regarding -- with regard to workmen
eating their lunches?
.7.
A Eating in the control room.
_
Q In the pi ant ?
A In the processing plant, yes.
-
Q How long did people have for lunch at the plant, if you recall?
A I think there was -- that the -- the time was
allotted as -- as 30 minutes. But you would have to ask
the plant, because there's so many different plants and
so many different rules and so many shift break times
that it's the pi ant's own necessity.
Q Where were people to eat if they didn't eat in
the control room of the unit where they worked?
A They had -- the -- the Kr ummrich plant had a
f ull-siz e caf eteria.
Q And the thrust of this memo, then, is that
while it may be okay in certain departments to eat in
the control room, and that's not what you recommend
prohibiting, you do specifically recommend prohibit
eating in the control room of the Aroclor Department?
A Yes.
Q That --
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77
A I also later on said, "It's long been the ' ~
opinion of the department that eating in process
departments is a potentially hazardous procedure that
can lead to serious difficulties."
%
My personal opinion is that it was bad
practice.
Q Generally?
A In any processing place, yes.
Q This memo, however, specifically addressed
itself to the Aroclor Department. Correct?
A That's true.
Q Now, was this a -- a directive that would be in
force, or is this just a recommendation which could be
accepted or rejected by the plant people as they saw
fit?
.
A We directed this to the Medical -- the Safety
Director (indicating), with a copy to the Plant Manager
(indicating)
Q Well, did you all have the authority to enforce
that or not, or did --
A Dr. Kelly did --
Q Okay.
A -- if he wanted to.
MR. CRAWFORD: What do you mean by
"enforce"?
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78
BY MR. LACEY:
Q Well, you -- let me -- let me try to clarify
i t. A
We would go through the normal channels.
Q Yeah. You simply state here it's.the-opinion
that it shouldn't be done, but --
A That's right.
Q It doesn't say, "Stop it." It's -- it's sort
of a polite way of saying, "We would sort of recommend you don't do this," and wait and see what happens. Is
that the normal channel?
A Well, what it probably refers to is -- and
I'm -- this is conj ecture -- it's just a -- th er e was a letter sent to us about something, or a question
answered,
A Requesting whether or not --
A And this is -- this is an answer to it.
Q You -- you would suppose that -- that somebody
asked you, "Is it okay to eat in the lunch -- eat lunch
in the control room?"
A Probably.
Q Okay. And you set f or th three reasons. You
say there are a number of reasons, but you specifically
set f or th three reasons why you think it would be a good idea not to eat in the contr ol room. ,Correct?"'"
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1 A Uh-huh. 2 Q And if I understand correctly, the first reason
3 is that the food that would be eaten could become
4 contaminated by the Aroclor vapors. Correct?
'
5 A Could be con- -- become contaminated ,,by Aroclor
6 vapors, yes.
7 Q And what you're talking about there is as
8 the -- as the sack lunch or whatever it is, the lunch
9 bucket, sits there in the control room from the time the
10 fellow comes on the shift until he eats it, the vapors
.11 in the process could seep in and actually cause amounts 12 of PCBs to be deposited on the food products that would
13 subsequently been -- be eaten. Correct?
14 A It's -- it -- it -- 1unches which normally were
15 brought to the plant were normally brought in the metal
16 boxes --
17 Q Right. 1 8 A -- the old black box. Individual operators
19 would store them near their work site.
20 Q Right. 21 A There are some work sites in -- in most 22 Purchasing Departments, that would not be an intelligent
23 pi ace to do that. That is what we're really saying. 24 Q But what I'm -- what I'm asking about at this
25 point is that the route of concern you' re talking about
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1 here is that the vapors would reach the lunch itself,~ 2 land on the materials, and then the fellow would eat his 3 sandwich and would have some PCBs on it. Correct? 4 A Could, in some areas. The -- the chlorinator 5 operator could store his lunch box on the chlorinator. 6 Q No problem? 7 A He could do it? Very -- it wouldn't be very 8 intelligent, but he could do it; because if there were 9 an accident that released any chlorine or any vapors, it 10 would certainly not do his lunch any good. 11 Q Okay. The particular concern you're talking 12 about here is the Aroclor vapor, though. Right? 13 A We're talking about vapors in the process. I 14 think you probably would mean Aroclor vapors, yeah -15 Q Okay. 16 A -- and other process -- Aroclor vapors and 17 other process vapors. 18 Q Okay. 19 A Yes. 20 Q And it would not be a good idea for a workman 21 to eat a lunch that had had some of those vapors deposit 22 some of the Aroclor s on it. Correct? 23 A No, it would not. 24 Q And that' s one of the reasons, ther.ef ore, that 25 you recommend they not be allowed to eat lunches in the
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1 department?
'~
2 A That is correct.
3 Q The second reason you point out is that there's
4 also the possibility of contaminating the hands with thfe
5 PCBs or Aroclor materials, and then contaminating the
6 food. Correct?
7 A That is correct.
8 Q And what you1 re tal king about there i s a fellow 9 is worki ng wi th the PCBs, an d they get on his han d. he
10 picks up his sandwich, th ey get on the sandwich, and he 11 eats it and i ngests some of the PCEIS. Correct ?
12 A It's possible. Not probable; possibl e.
13 Q Well , actually. you say it:' s a defini te 14 possibil i ty. Isn't that the words you use d?
15 A For it to get th ere . But he's not go ing to eat
16 much of it.
17 Q Why is that? 18 A Oh, it don't taste good.
19 Q Okay . You didn' t want to rely , howev er, on the
20 fact that he would --
21 A No.
22
Q
-- recognize bythe bad taste
--
23 A No.
24 Q -- that heshouldn't eat anymore?
25 A No, we did not want to rely on that.
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Q Were you concerned that even in the small
quantities that might escape his taste buds, it could
present a problem?
A We were more concerned about the general
'
principle of eating in a process control room-in an area
that handled hazardous materials, in our view,
throughout the Queeney -- the Krummrich plant. And if
you'll read the last paragraph, you will see this is the
thin end of a much larger wedge. We finally got the
wedge driven through. They do not eat in the process
units any more.
Q Sure. Now, in the third area -- you've already
talked about the fact that you didn't like people eating
in the process units at all, which is the third reason
you cite.
You state in the second sentence, regarding
your own experience on the hazards of Aroclor. Correct.
And talking about your own experience, you're talking
about Monsanto's experience. Is that correct?
A It's a potentially hazardous procedure, it says
here cl early.
In all of my 3 5 years, I never heard of or saw
an Aroclor case, so I don't know.
Q Okay. What I'm -- what I'm trying to find out
about is in a sentence whi ch says, "While the Ttro cl or s
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83
are not particularly hazardous from our own
experience" -- that's the first clause in the
sentence -- that's talking about Monsanto's experience
of not having anybody make any claims about being hurt '
from Aroclors. Correct?
.
A You're talking about the third paragraph now -Q The third paragraph, that second sentence. It
says, "While the Aroclor s are not pa rticularly" -- I
can't read upside down from this distance very well.
A It says, "While the Aroclors are not
particularly h az ar do us from our own experience" --
Q Right.
A -- "this is a difficult probi era to define
be cause early literature work cl aimed that chlorinated
d i ph e ny 1 s are quite toxic materials by ingestion or
inhalation."
Q Now, what I'm trying to find out about is:
When you say, "While" -- I need to look it at it here,
so I can read it correctly -- "While the Aroclors are
not par ticularly hazardous from our own experience,"
what you're talking about is that Monsanto employees
have not made a lot of cl aims based on exposure to
Ar oclor s. Correct?
MR. CRAWFORD: Obj ect to the form of
the question.
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1 A That is not -- that is -- is really not -
2 that's a piece of it.
3 BY MR. LACEY:
4 Q Okay. Well, what -- what is it -- do you mean'
5 by that?
.
6 A In terms of lost time on workers in the Aroclor
7 Department.
8 Q Okay.
9 A Periods.
10 Q And doesthat mean that you have had people who
11 have been exposed to a significant amount of Aroclors
12 without ill effects? Or does that mean that because of
13 your protective procedures, you've been able to
14 substantially minimize any exposure to Aroclor?
15 A I would hope that itwas the latter, but I
16 can't say that.
17 But keep in mind, this memo is written with
18 a -- you can easily see the hook in it. It isn't
19 very -- very well hidden. We wanted them to quit
20 allowing people to eat in the processing departments in
21 the Krummrich plant. It was a plant that handled a
22 great number of hazardous materials. We did not want
23 them eating there. We wanted them to eat -- either eat
24 in the -- in the provided facilities or in provided
25 eating rooms.
_
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1 Q Did you write a similar memo to this on -- to
2 every other section of the plant at the same time you
3 wrote this one?
4 A If you looked at enough memos, you probably saw
5 int- -- intimations to every plant, every -processing
6 department in the plant.
7 Q Well, I haven't seen any other memos --
8 A No?
9 Q -- like this. This is the only one I've seen.
10 A It was -- it was a part of one of the pressures
11 we exerted on the plants to prevent -- to -- to -- to
12 stop a potentially hazardous procedure, in our view. It
13 was one of our jobs.
14 Q Okay. And one of the things that you thought
15 was appropriate from the industrial hygiene standpoint
16 was to separate the eating of food from the area in the
17 plant where Aroclors were being manufactured?
18
AAnd many other products,
yes.
19 MR. LACEY: Can I see this again?
20 MR. CRAWFORD: Are you going to ask
21 some more questions (tendering)?
22 MR. LACEY: Yes.
23 MR. CRAWFORD: All right.
24 BY MR. LACEY:
25 Q In -- at the last part of this second sentence
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86 1 talking about, "While Aroclors are not particulary 2 hazardous from our experience," you go on to say that 3 "This is a difficult problem to define because early 4 literature work claimed that chlorinated diphenyls were*' 5 quite toxic materials by ingestion and inhalation." 6 What literature are you referring to there? 7 A Oh, I haven't the vaguest. It's late. 8 Q Was that a reference to specific literature, or 9 was that something you just threw in to make your 10 argument stronger? 11 A A ploy, you mean? 12 Q Yes. Was it true or not? 13 A They could trace it. It probably was true. 14 But this -- you're asking me to remember a memo from 32 15 years ago. 16 Q Well, I understand. I don't expect you to --
17 A And I don't remember the details, no. 18 Q Sure. I don't expect you to remember the 19 cites. But in view of what you told me earlier, I'm 20 trying to find out whether or not, when you said that, 21 you were telling the truth or you were throwing that in 22 with - 23 A I think -- I -- I don't think I would carry a 24 pi oy that far. It was probably the truth. I probably 25 the seen some data or some 1iterature, but I do not
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1 recall it. 2 Q Okay. Was it part of your job to from time to 3 time review literature on chemicals that Monsanto made? 4 A It was my job as an industrial hygienist to 5 virtually continuously preview the li terature, .connected 6 with the handling of ch emical materials. And when you 7 hit one that we handled , we -- those were priority 8 i terns. 9 Q When you came into the Medical Department in 10 1953, was part of your training to go back and look at 11 existing literature on chemicals that you already made? 12 A In most cases then, the -- the -- the -- a lot 13 of the literature was already available in the files in 14 the Medical Department. 15 Q I guess what I'm asking is: Did you go back 16 and look at the files on literature predating 1953 after 17 you came on board in the Medical Department? 18 A Yes. 19 Q And that's how you would know about what 20 literature before 1953 had to say about the hazards of 21 Aroclor s? 22 A I wouldpresume that. 23 Q Okay. 24 The last sentence says, "In any case where 25 wor kmen cl aim phy si cal harm from any contami naise d
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1 food" -- and you're talking there about food
'
2 contaminated with Aroclors. Correct?
3 A Considering the previous sentence, yes.
4
Q You said that "In any case where workmen
'
5 claimed physical harm from any contaminated food, it
6 would be extremely difficult on the basis of past
7 literature reports to counter such cl aims." Uh-huh.
8 Q Was that a true statement when you made it?
9 A Probably so.
10 Q Okay. And you believe --
11 A To the best of my knowledge, it's true; yes.
12 Q Okay.
13 Let me show you a Document No. 018731 through
14 018737, entitled "Toxicology and Safe Handling of
15 Monsanto Aroclor" (tendering), and ask if you've seen
16 that document before.
17 A Yes.
18
Q When did youfirst see that
document?
19 A It orits predecessor or successor, throughout
20 my experience in Monsanto during the period in which we
21 manufactured Aroclors.
22 Q Okay. Who put outthat document?
23 A Originally?
24 Q Yes. I -- who -- who put it together?
25 A I do not know. I'd have to see the .dates on
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1 this specific document to tell. 2 Q Well, feel free to look for the dates and tell
3 me about it. I've been asking everybody I've talked to
4 when it was dated.
"
5 A . (Reviews document.)
. .......
6 I don't know. But there were -- the -- this
7 particular bulletins were available when I went to work
8 at the Medical Department, or a form of that bulletin
9 was always available in some form, with corrections,
10 through the years; additions, subtractions, and so
11 forth.
12 Q Well, let me make sure I understand your
13 testimony. Are you telling me that a document like
14 this, Document 18731 through 18737 (tendering), was
15 available in the Medical Department of Monsanto at about
16 the time you started to work there in 1953?
17 A The document or a similar document was
18 available to us from the people who prepared it. We did
19 no t.
20 Q What role did the Medical Department have in
21 supplying information to other people within the 22 Monsanto organization about the toxicology and safe
23 handling of Monsanto Aroclor?
24 A Dr. Kelly's responsibility covered the problems
25 connected with medical -- that's symptomatology,
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treatment, first aid -- toxicology, industrial hygiene. And those sections that reflected on those functions, the Medical Department reviewed or were allowed to review for all bulletins, this one as well as others. '' "
Q Well, now, this bulletin is a lit-tle-bit unique, isn't it? Because all it deals with is toxicology and safe handling.
A No, it is not unique. Q I see. How many documents were there at Monsanto, how many different documents were there, that dealt with -- solely with toxicology and safe handling of Monsanto Aroclor? A As far as I know, this document and its predecessor and update versions dealt with that subject -Q And there were - A -- toxicology of Aroclor and safe handling of Aroclor. Q And there were documents 1ike this within Monsanto from the time you arrived in the medical department the 1953 at least through 1977? A A similar document, yes. Q That dealt exclusively with the safe handling and toxicology of the product? A Yes. We had many, many others coveriTTg many,
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1 many other products.
2 MR. LACEY: I'm going to say on the
3 record I have haven't seen them. I've
4
been asking about them since December
~
5 26th, and I'd like to know where ..they are.
6 MR. JONES: Well, they may not exist, 7 David.
8 MR. LACEY: Well, this witness has
9 just said they do.
10 MR. JONES: Well, they may have at
11 one time. They may not exist now.
12 MR. LACEY: I see.
13 BY MR. LACEY:
14 Q There were other types of documents at
15 Monsanto, were there not, that dealt with products
16 generally and had small excerpts in them about
17 toxicology and safe handling. Correct?
18 A Summaries, yes.
19 Q Okay.
20 A Yes.
21 Q But you're telling me that in addition to those 22 types of documents, there were also documents like this
23 one we've just looked at devoted solely to the
24 toxicology and saf e handling of Arocl or ? 25 A There were documents like that devote-d- to the
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, 1 toxicology and safe handling of a number of other
2 Monsanto products, as well.
3 Q And there were also versions devoted solely to
4 Aroclor?
5 A That's true.
___
6 Q And those documents were kept within the
7 Medical Department of Monsanto?
8 A No.
9 Q Where were they kept?
10 A In the Marketing Department.
11 Q They were kept within the Marketing Department
12 of Monsanto -
13 A Uh-huh.
14 Q -- there in St. Louis, Missouri?
15 A Uh-huh.
16 Q Actually, we're here in St. Louis, Missouri -
17 A Uh-huh.
18 Q -- I guess, right now, aren't we?
19 A That's true.
20 Q And throughout the time you were there, these
21 types of documents existed?
22 A That is my recollection.
23 Q And those documents contained only the
24 inf ormation about toxicology and saf e handling, and
25 ther ef or e were documents that were appr oved by--the
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1 Medical Department before they were published. Correct1?
2 A That is correct; those portions specifically
3 attributed to the Medical Department's responsibility,
4 yes.
.. f-
5 Q Well, and if it dealt solely with toxicology
6 and safe handling, that was all within the Medical
7 Department?
8 A That is true, if it did -- truly dealt that
9 way.
10 Q Well, let me hand you this document and ask you
11 to review it briefly and tell me if there's any part of
12 that document that didn't fall within the province of
13 the Medical Department (tendering).
14 A Description. The introduction and description
15 is not our responsibility. Toxicology was. Skin
16 contact, first aid was. The -- the information here,
17 which is standard to these documents, is -- is.-- is
18 somebody else's responsibility (indicating) .
19 Q Okay. So the only portions of this document
20 that were not the Medical Department1s responsibility
21 were the 1ead-in section called "Introduction." Correct
22 (tendering)?
23 A ^.(Reviews document.) And "Description. "
24 Q And what we have in the -- may I see it just a
25 se cond?
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1 A (Tendering.)
2 Q We have the introduction, which is a section
3 that says, "Aroclors, the registered trademark for a 4 range of chlorinated polyphenyls manufactured by 5 Monsanto. Manufactured in this country and have been
6 used in this industry throughout the world f or over 3 0
7 years."
8 Did Mon- -- did the Medical Department have
9 anything to do with --
10 A No.
,
11 Q -- that type of statement?
12 A No.
13 Q And said that they were synthetic chemicals,
14 and that the publication was intended to describe the
15 toxicity and provide guidance on the correct handling.
16 That -- those sentences were somebody else's?
17 A That's cor r ect.
18 Q Then the description that specifically said
19 what the col or s of them were, whether they were oils or
20 whatev er: That wasn't yours ?
21 A No.
22 Q But when you start with the section on safe
23 use, from there on everything is yours. Correct?
24 A That is correct.
25 Q Until you get to the very last section, which
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1 says--
'
2 A About five or six paragraphs. The -- the
3 document has an awful lot of blank pages in it, but
4 that's essentially correct.
t
5 Q Yeah.
6 A We did the safe-handling information, the
7 toxicology information, the medical in- -- information
8 was our responsibility, wherever it appeared, whether it
9 was in that document or any other document.
10 Q Did you ever work on revisions or updates of
11 this particular document dealing with the toxicology and
12 safe handling of Monsanto Aroclor?
13 A We -- I worked on the revision of many, many,
14 many documents connected with the toxicity and safe
15 handling. I have no reason to believe I did not, nor do
16 I have any specific recollection of doing it.
17 Q Okay. What was the purpose of this document on
18 the toxicology and safe handling of Monsanto Aroclor?
19 What was it intended for?
20 A It was intended for the salespeople to use -
21 and we used it, as well -- to send to people who queried
22 us connected -- in conne ction with handling of -- of the
23 material.
24 Q It was intended to go to customers?
25 A Principally.
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1 Q And one of the things that was important about
2 this type of literature was to not only give a customer
3 the information, but also to ensure that he put the
4 principles there into practice to protect his own
5
1t that c or rect ?
- .., -
6 MR. JONES : I'd --- I'd object the
7 question . Again , you' re mischaracteriz 8 his test im ony. He sai d not only to 9 customer s, but i t was also used by the 10 Monsant o people. 11 MR. LACEY: Tha t' s fine. I'm not 12 wor ried about th e Monsanto people; I'm
13 talking about the cust omer s. 14 MR. JONES: Well, to the extent th
15 you're b eing unf air wi th the witness,
16 then --
17
MR. LACEY: Well, let's
let's -
18 MR. JONES : -- I want to make that
19 poi nt. 20 MR. LACEY: Well, fine. I'll try
21 not be unfair to the witness.
22 BY MR. LACEY;
23 Q Mr. -- Mr. Garrett, the purpose this was put
24 together in the first place was to provide to customers,
25 wasn't it?
.
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1 A It -- it was to provide users. And -- and that
2 would mean Monsanto and customers, yes.
3 Q The actual Monsanto employees got the bulk of 4 their information about the actual toxicology and safe '
5 handling of -- of Aroclor products from the .process
6 manuals and the like that were used in the actual units
7 where PCBs were made, didn't they?
.
8 A In -- in training courses, training the
9 operators themselves, and their monthly safety meetings 10 at which we participated many times. 11 Q This was put together in its nice finished form 12 with the nice covers and everything else because it was 13 designed to go to customers, wasn't it? 14 A I -- it -- it -- that would be difficult to 15 say. It was designed to go to users, and customers were 16 the primary users, plus the Monsanto internal. 17 We gave out many of these to other companies, 18 yes, and other companies' professional departments;
19 Technical -- this is -- and medical, industrial hygiene,
20 and so forth. 21 Q Within Monsanto, who did you give these to? 22 A Copies of this would go to the plant if there 23 was any information in there that was new. It would be
24 given to the plant for their use. I suspect they handed
25 them out, as well.
.
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Q To whom?
'
A Well, most plants kept copies -- kept records
and -- and information to give to fire departments or
emergency equipment or vehicles that connected with
operations that -- and accidents within the plant,
particularly fire -- so that the fire crews -- because
we almost always had a mutual agreement with the local
fire department as a backup, and we didn't want the
firemen to get hurt, either. And this information was
available to them.
In fact, a great deal of it was provided also
to fire departments all over the country at their
request.
Q Now, in the Precautions section that shows up
on Page 18734 -- you see this section right here
(indicating)?
A Yeah.
Q -- that very cl early is written with the
intention of going to someone who is responsible for the
way in which workmen are handling the materials, but
{
who's not himself a workmen, isn't it?
A I don't know. I don't know whether the
work- -- I think the wor kmen could pretty well
understand that. I mean, it's blunt and across the
board.
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Q Do you see down at the bottom there in all
c a ps - -
A Uh-huh.
Q -- after the last listed
precaution?'
A Yes.
Q It says, "YOU HAVE READTHIS."
A I don't see where --
Q Right here(indicating).
"YOU HAVE READ THIS.
DOES THE MAN ON THE JOB KNOW HOW TO HANDLE THESE
PRODUCTS ?"
A I presume they -- the -- if -- if the -- the
ma- -- raa- -- if the material was available in -- in a
customer's plant, for example, that the customer plant
people could read it as well, if they were literate.
Q Well -
A The
the -- the -- it probably was directed
at their management and their -- their -- probably their
foreman and/or their unit supervisor.
Q That's mypoint.
Thiswas written for
management-type people; and the reason that's in there
in all caps is to cause them to think about making sure
that that information gets to the people who actually
work with the product, isn't it ?
A I would assurne that's true.
Q And that's iraportant in providing warnings or
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100 1 information or precautions on how to handle chemicals, 2 isn't it? 3 A Yes. 4 MR. JONES: Object to the question. 5 What -- what is important? - -- 6 MR. LACEY: Making sure that the 7 information gets down to the guy working 8 with it. 9 A That is correct. 10 BY MR. LACEY: 11 Q No warning, no information is of any value 12 unless it gets down to the guy that's working with the 13 chemicals, is it? 14 A That's correct. 15 . THE VIDEOTECHNICIAN: Let's go off 16 the record to change the tape. 17 18 (Recess) 19 20 THE VIDEOTECHNICIAN: Okay. We're 21 back on the record after a tape change. 22 The time is 5:45 p.m. 23 BY MR. LACEY: 24 Q The section that starts on Document No. 18734 25 headed "Toxicology"1 contains some pretty detailed
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1 information on specific studies that had been done about
2 what can happen from exposure toPCBs, does it not?
3 A Yes.
4 Q That type of detail is the sort of information
5 that would be very valuable to people who were in the
6 industrial hygiene or occupational safety business,
7 doesn't it?
'
8 A If they understoodtoxicology, and themajority
9 of those that were educated did.
10 Q My point is: That type ofinformation there
11 wouldn't be particularly useful to a person who is not
12 trained in toxicology or industrial hygiene, would it?
13 A Or medicine.
14 Q It would or would not be important to a
15 person --7
16 A It would be important to a person trained in
17 medicine or toxicology.
18 Q Yes. And so to make it clear, the information
19 under "Toxicology" in that bulletin -- which consists
20 of, I guess, about a page and a half or -- what is it?
21 Maybe a little bit less than that? 22 A Yeah, I think so. I think --
23 Q A page and a half of information. -- is the
24 type of material that's meaningful to people who are
25 industrial hygienists, who are toxicologists, or who
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1 have medical training. Correct?
2 A It is correct. And it states after
3 "Toxicology" on a small line, it says, "The following
4 medical data is given for your Health Department
5 records. "
--
6 Q Again, this -- that information is designed to
7 get to somebody at the management level who can make use
8 of it. Correct?
9 A It depends on what you mean by "management
10 1 ev e 1. "
11 Q Well, a Health Department.
12 A Yes --
13 Q Is that a management - 14 A Yes.
15 Q -- lev el function?
16 A By professionals within their Health
17 Department.
18 Q Okay. Now, let me direct your attention to the
19 last page of the document, 18737, where it has the
20 Mon- -- the big "M" f or Monsa nto and the -- and the
21 registered notation of the trademark. Next to that is a
22 public-- some publication information. Can you read
23 that address ?
24 A It's a B ritish publication. It's London
25 Southwest 1. That's our Monsanto house in London in
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1 those days.
''
2 Q Did the people in London do a lot of printing
3 for documents you used in the United States?
4 A No. We provided them with the data. They
5 printed their own.
6 Q So this document that was printed in England
7 was designed what; for use in England?
8 A Yes, and Europe --
9 Q And --
10 A -- where they shipped it.
11 Q Okay. So this document would go to customers
12 of the English pi ant that manuf act ur ed Ar odors -
13 A Tha t1s right.
14 Q -- whether they be in the United Kingdom or
15 whether they be in Sweden or France or wherever.
16 Correct?
17 A Or in the Commonwealth countries.
18 Q And the inf ormation that's contained in this
19 document was provided to them to print on their own
20 document by the Medical Department in St. Louis.
21 Correct ?
22 A I -- I -- of my own free knowledge, I do not
23 know that; but it probably was.
24 Q Is that the way the -- the system was set up to
25 work?
.--
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1 A They would ask us for information. They would 2 gain their own from their own literature. If they found 3 any, they usually would send us copies of the same 4 literature so we could both have a full set of any ' 5 medical or toxicological data that reflected .gt* the 6 hazard of the product. 7 Q Okay. So the document we've actually been 8 looking at here is one that the United Kingdom group 9 actually put out for use in Europe? 10 A That is correct. It is their assessment of the 11 literature and the necessity for their customer use. 12 Q Is there any reason that they would be 13 assessing the literature any differently than the people 14 in St. Louis would be assessing the literature? 15 A .1 don't think it is a -- necessarily an 16 assessment different than that. 17 Q No, I -- I didn't suggest there was. But - 18 A No. 19 Q -- there shouldn't be any difference in the 20 assessment of the literature, should there? 21 A I couldn't say that, because I don't know what 22 they had available to them. 23 Q Well, Monsanto generally had available to it 24 literature worldwide, did it not? 25 A Well, again, it depends on the dates"and the --
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1 and the handling of literature.
'
2 I'm not sure -- we, for example, did not get
3 copies of some -- of many of the British medical
4 journals. They did not get copies of some of ours. "
5 They're extremely expensive when you get them outside of
6 their own country.
7 So we took a -- a sampling of their medical
8 literature; and anything they picked up, we would expect
9 them to ship it to us con- -- in connection with this -
10 their Medical Director -- in this specific area, because
11 we manuf actur ed it both pi aces.
12 Q And you would do likewise?
13 A That would -- we would do 1ikewise.
14 Q So they would have available to them all of the
15 Uni ted States publica tions on PCBs. Correct?
16 A I wo uld ass ume so, but I certainly cannot --
17 Q And --
18 A -- swear to it, no.
19 Q -- if the system worked correct, you would have
20 in St. Louis all the British publications on PCBs.
21 Correct ?
22 A I would hope so.
23 Q And that's the way it was supposed to work?
24 A That's right.
'
25 Q And is there any reason that the precautions
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106
that would need to be taken with Aroclors produced in
the U. K. plant should be any different than the
precautions to be taken with Aroclors produced in the
United States plants?
'
MR. CRAWFORD: Be sure you, Jenow the
answer before you answer is something that
you know.
A I really don't know. Is there any reason - restate it, please. BY MR. LACEY:
Q Yes. Is there any reason to have different precautions or warnings for PCBs produced by Monsanto i n the United Kingdom than for PCBs produced by Monsanto i n the United States?
A Different people w rote them, and the different people have different views and different feelings in connection with that. They 're differently trained. I think they used --
MR. JONES: Different circumstances. THE WITNESS: What? MR. JONES: Different circumstances. MR. LACEY: Why -- why don't you let him testify, Robert? I -- I'm asking him.
If you want to testify, we'll swear you in sometime and ask you some questions.
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1 MR. JONES: I'll do the same for you.
2 A I really think if you -- if you would -- I
3 think the -- the -- the basic toxicity and handling
4 information, the basic handling, is on the label.
t
5 And I think the labels, our labels and their
6 labels were somewhat different because the labeling
7 authorities were different. What they put out in their
8 support documents and what we put out in our support
9 documents had a lot to do with the agencies. But in no
10 case and no time would we ever, ever risk a person's
11 life or their job in this respect; no.
12 BY MR. LACEY:
13 Q Okay. My -
14 A Absolutely not.
15 Q My question, so it's clear: There wasn't any
16 difference between, however people viewed it, the
17 hazards of handling Aroclor made --
18 A That's correct.
19 Q -- by the United Kingdom plant versus the
20 hazards of Aro cl ors made by the United States plants?
21 A That is correct.
22 Q It's the same chemical, the same hazards -
23 A That is correct.
24 Q -- the same safe handling is required?
25 A That is right.
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10 8 1 Q And the differences that exist between what 2 would have been said in the United Kingdom and what 3 would have been said in the United States, then, would 4 depend upon the fact that different people wrote them ' 5 and may have had different views on how to. e.xpjr.e ss that. 6 Correct ? 7 A And different support, based on the countries 8 in which they're marketed. It may have been required by 9 somebody's law. It may have been required that it be 10 viewed this way. 11 They may have viewed it this way from their 12 training, their formal training. If they had shipped 13 their Aroclor to this country, we would have marketed it 14 with our documents. 15 Q Okay. And what you're telling me is: To the 16 extent that this is written differently than whatever 17 was used in the United States, that difference may be 18 accounted in part by the fact that there were different 19 regulations applicable in the Uni ted Kingdom? 20 A Different customs, primarily. 21 Q Different customs? 22 A Yes. 23 Q What sort of customs are you talking about? 24 A Diff erent basis in their training than ours, 25 different basis in their medical training than^ours;
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1 the fact that they did not have industrial hygienists on 2 their staff over there, and the fact that very 3 frequently they would go to one of the universities to 4 get information, and that information was different than 5 ours. 6 It just was a different way of presenting it. 7 It's a different emphasis. 8 Q I see. 9 A It's true today. 10 Q I see. Are they more oriented toward giving 11 very thorough, lengthy discussions of what precautions 12 ought to be taken than we are in the United States? 13 A Oh, my stars, yes. 14 Q They just are more cautiously oriented than 15 here. Correct? 16 A It would be unfair -- because I have very many 17 fine colleagues in Europe, but they're very -- they - 18 they are much more scientifically inclined toward the 19 actual data itself, and that -- and where the data came 20 from, and whether the chicken had a left eye that was 21 black or white. 22 We were interested in -- in -- in boiling it 23 down f or usef ul inf ormation f or people who were handling 24 it. 25 So, in my opinion, the data that was -- that
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1 was given by the British to their customers and by us'to
2 our customers was the custom of the countries involved.
3 It covered the waterfront; but it was different coverage
4
because of the differences in their background, the
i
5 differences in the training of their physicians, the
6 differences in the training of their toxicologists, and
7 so forth.
8 Q Was that -
9 A That's my only point.
10 Q Was that also true with regard to the way in
11 which they gave precautionary information; that they
12 tended to be more complete in what they said?
13 A I -- I -- in my personal work with the Brussels
14 office, we had to provide information that was required
15 by a consortium of countries in the European economic
16 community.
17 And their labeling was different than ours, and
18 their -- they used -- they used symbols that were
19 different than ours because it was typically European. 20 For example, if we had put the data out first, they
21 would obviously have changed it just to say that it was
22 European.
23 Q Well, this document's written in good old
24 everyday English, isn't it (indicating)?
25 A Yes.
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1 Q The first precaution, "Always wash well with - ~
2 soap and water before eating, drinking or smoking and --
3 and at the end of work": There's nothing particularly
4 European about that directive, is there?
.
5 A Yes, there is. It's an unnecessary directive
6 in that kind of document; because the document says the
7 damn stuff is toxic, and if you get it in you, on you,
8 or in your snoot, you're going to get a toxic response.
9 Q Okay.
10 A What do -- if you tell a person -- it's like
11 the guy that says, "The j ohn is over there," or gives a
12 long explanation of how you open the door and unzip your
13 pants. I mean, it is -- the -- the same thing's going
14 to be done in that room, anyway.
15 And they just have a different way of
16 presenting it. I wouldn't change their way, because
17 their people are used to that procedure.
18 Q We in the United States are accustomed not to
19 getting those sort of detailed instructions, like
20 "Always wash well with soap and water before eating,
21
drinking or smoking and at the endof work."
Is that --
22 A We have --
23 Q -- what you're saying?
24 A -- of ten given those --those -- those
25 precautions to people preparing for use in han41ing
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1 hazardous materials. It is not written in our mat- --
2 material because it is assumed that if one says a
3 product is toxic by ingestion, by absorption through the
4
skin, by inhalation of the vapors, that it would be
-
5 assumed that you would -- should wash it off o_,f your
6 hands before you got it in your mouth.
7 Now, you just -- just talked about a document
8 where we were talking about, "Let's get the damn thing 9 out of the -- the eating joint so we can stop that
10 foolishne ss." 11 Q Yeah. Well, apparently in your very own plant,
12 some people had some trouble with the understanding that
13 you shouldn't eat food around it -- is that correct? --
14 to the extent you had to write the memo that we've
15 talked about, Document 38968.
16 A If we had an operator who could have saved ten
17 minutes of the day or got paid ten minutes more, it is
18 likely that he would have tried to save the time to
19 make -- and I don't blame him for that.
20 Now, it is our responsibility, therefore, to
21 short-circuit that effort if it has anything to do with
22 the potential that he might get hurt.
23 Q The second --
24 A And, by golly, he -- they didn't get hurt.
25 Q The se cond preca ution, "Sho uld Aroclor- come
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1
into contact with the skin, it should be washed off
-
2 immediately": Is that the British or European way of
3 saying precautions like that?
4 A That precaution would have been given to anyone
5 who would have asked the professionals in the
6 department.
7 If you go look in that document, it says, "Tell
8 your Medical Department" certain things. That's the
9 typical way the British put it.
10 In the United States, it was usually provided
11 to their professional people in their setup. If we, for
12 example, decided to sell a product -- and Aroclor would
13 be an example -- suddenly we were going to -- to
14 provide -- we're going to sell it a -- as a new product
15 for some use, let's say to another company. We would
16 provide that other company's professional staff with
17 detailed information and anything they asked about.
18 Q How would you -
19 A But to say to them, "Wash your hands," when
20 it -- when it's toxic by ingestion is -- is presumptive
21 of their ignorance, in my opinion.
22 Q What about the third precaution, "Clothing,
23 hand tools and similar equipment which have been in
24 contact with Aroclors should be cleaned. Aroclors '
25 spilled on the bench or floor should also be cleared up
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1 immediately, and cloth or rags used for this purpose 2 should be destroyed." 3 Is that the European way of saying it? 4 A That is a -- that is -- is -- is minute detail. 5 That is the responsibility of the individual Safety 6 Department s. If -- if it is toxic by mouth, if . it is 7 toxic by skin absorption, I can't imagine why you'd want 8 it laying around on the floor -9 Q Okay. 10 A -- or on rags. 11 Q So what you're telling me is if Monsanto told 12 people Aroclor is toxic by mouth, then the rest of this 13 stuff they should have figured out on their own? 14 A. No.We told them more than that. We told 15 them that "this is a product that is a polychlorinated 16 aro- -- aromatic chl.orinated hydrocarbon; and, as such, 17 it is toxic. You should not inhale the vapor s, you 18 should not put it incontact with the skin, and you 19 should not get it in contact with the mouth so that it 20 is ingested." 21 Now 22 Q That's what you told people in the Uni ted 23 States? 24 A That is right. That is right. 25 Now, if -- if a per son that received this
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1 information in setting up a safety or health program . 2 didn't have -- didn't know how to carry that out in 3 detail, it would be unnecessary to have that detailed 4 section is what I'm really saying. I'm not criticizing 5 the British. 6 Q Did you ever encounter any experiences where 7 you had some people who didn't appear to be able to 8 follow the simple instruction, "It's toxic by mouth, by 9 skin, and by inhalation," sufficiently to take the 10 appropriate detailed steps? 11 A Not after we got through with them. 12 Q I see. Well, how would you find out about 13 that? 14 A The supervisor to the foreman, we knew. 15 Q Well, no. I' m sorry. I'm talking about 16 customer s. I'm talking about the people that you gave 17 these warnings to. 18 A The customer has the same responsibility we 19 had. We can't reach into his plant and say, "This man 20 is illiterate. We must take him out and give him a 21 Braille lesson, " or some thing like that. We can't do 22 that. 23 We expect that any pr udent per son that is 24 trained in the field of -- of occupational medicine, 25 hygiene, toxicology, would do that. We did it in your
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1 plants.
.
2 We -- and if they asked us, "Do you have an" --
3 and we were asked at times -- "Do you have detailed
4 instructions?"
_
5 Well, our argument -- our -- we went back
6 through essentially that laundry list that's on the
7 British document. That laundry list goes -- it's in
8 every document. It's on every product that's handled
9 that is hazardous. It -- it is the standard handling
10 procedure for a material that is toxic by inhalation, by
11 absorption, and by ingestion.
12 Q Let me see if I understand your testimony
13 correctly.
14 If someone asked you for more detailed
15 information, you would then go through the detailed type
16 of precautions that are set forth in this British
17 document at Page 18734 (tendering). Correct?
18 A Or we would have told them -- and we did many
19 times -- to contact their professional people at -- in
20 their own pi ant.
21 Q I see. So sometimes people would ask you for
22 detailed inf ormation --
23 A No. To my knowledge, as -- as far as I am
24 concerned, I was never asked a question by a company or
25 individual that would have been answered by that laundry
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1 list.
"'
2 Q Okay.
3 A Okay.
4 Q So your testimony is you never recall giving
5 instructions on the safe handling of Aroclor with as
6 much detail as is given in this British document?
7 A That is not what I said.
8 Q All right. Well, why don't --
9 A I certainly have -- recalldoing it.
10 Q And under whatcircumstances would you give
11 that type of detailed --
12 A In a plant safety meeting with the plant Safety
13 Director with the pro- -- the units, the unit operator s,
14 and/or the new trainees that are coming into the
15 department because of rotational problems within the
16 pi ant.
17 Q You're talkingabout within Monsanto?
18 A Precisely.
19 Q You never gave any customer of Monsanto or any
20 employee of any customer of Monsanto as much detail
21 about the precautions for safe handling of Aroclors as
22 are contained in this British document at Page 18734
23 (tendering). Is that correct?
24 A That is not cor rect. That is a -- an
25 assumption that -- that -- that simply isn't correct.
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1 The fact is, that set of -- of instructions is-
2 available on the handling of anything. It is in the --
3 it is a standard saw. The people that handle this
4 material, this is a standard affair. They didn't do -
5 that for Aroclor. That damn statement come out of every
6 product that has ever been manufactured that is
7 hazardous.
8 They put the hands statement in if it's -- if
9 it's toxic by ingestion. Okay? You know, stick the
10 potato in there about hands. It's like the old joke
11 about the bedbug; send the nut the bedbug letter.
12 Put the stuff in there about hands, stuff
13 that's toxic by ingestion. Put the stuff in there about
14 not breathing it -- using breathing protection if it -
15 if it is toxic by in- -- by inhalation. And keep it off
16 the skin, make sure you change clothes, and don't leave
17 stuff laying around that has slop on it if it is toxic
1 8 by absorption through the skin.
19 It -- it is improper to place that statement
20 in -- in importance, be ca use it was a common known
21 system. I don't think I ever talked to anyone within
22 our company or anybody else connected with this business
23 that had any problems connected with it. You -- what
24 we're talking about's a nonprobiem.
-
25 Q I see. Everybody knew all of these things
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1 already, and you didn't need to tell them that? 2 A Everybody got a copy of the label if they got 3 the material in their prop- -- in their province. 4 Q I see. 5 A Everybody got copies of any toxicological 6 information we handed out, and we handed out on 7 hundred -- hundreds of thousand of copies of it. 8 It is our personal opinion and my professional 9 opinion that that information is information provided by 10 the -- the -- the Safety Department to the individual 11 operator s if it would not off end them -- if it would not 12 off end them by telling them to wash their hands. 13 Q So I -- if I under stand your testimony, then, 14 it's your opinion that this type of precautions would be 15 supplied by the customer to its own employees at its 16 discretion? 17 A That is correct. 18 Q Okay. And f or that reason, Monsanto did not 19 supply it to its customers itself? 20 A That is correct. 21 Q It relied on the customer's -- 22 A That's right. 23 Q -- own people to put out -- 24 A The customer's own -- 25 Q -- detailed instr uctions.
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120 1 A -- technical people and instructions; that's 2 right. 3 Q And did not make any effort on its own to 4 provide any information that could be given en masse to 5 the employees of the customers that used the product. 6 Cor rect? 7 A What were you going to give the employees? 8 Q Did you make any effort to give the employees 9 of the customers anything? 10 A We gave them the information. They have 11 their -- I don't know what their safety programs 12 represent. You know, I don't know how they make the 13 mechanism run. 14 We gave little cards out in our -- in our 15 plants. We have provided copies of those to the -- to 16 cust- -- customers when they asked. 17 Q What did -- what did Monsanto do, if anything, 18 in order to determine whether or not customers were, in 19 fact, providing the necessary information to their 20 workmen to protect thei r workmen? 21 A I don't -- I -- I really don't know how that - 22 what -- we have demonstrated that for uses that are 23 improperly done, we would not sell the product. Okay? 24 Q How was that demonstrated? 25 A We do not presume -- we would presume that any
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1 company that handled it or purchased it would have
-
2 enough intelligence and common ordinary prudence to
3 follow the simple instructions connected with the
4 toxicities that we provided to them.
-
5 Q That was just an assumption that was a given in
6 the way the Monsanto Medical Department worked.
7 Correct?
8 A And it worked beautifully, because we didn't -
9 I never heard of a case in all my years.
10 Q You never, in all of your years with Monsanto,
11 heard of a single customer that misused PCB products.
12 Correct?
13 A That had a -- that -- that resulted -- that
14 resulted in a toxicological manifestation that was
15 demonstrated.
16 Q Okay. So if I understand your testimony
17 correctly, you never heard of a single customer of
18 Monsanto for Aroclors that ever had a -
19 A Ah-ah-ah. We're talking aboutpolychlorinated
20 biphenyls. Right?
21 Q We certainly are.
22 A All right, then.
23 Q Is there some problem with that?
24 A No.
25 Q You never heard of asinglecustomer of
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122 1 Monsanto -- 2 A To my recollection. 3 Q -- that used Monsanto's Aroclors - 4 A Or -- 5 Q -- that had a single - 6 A Or in Monsanto. 7 Q I'm -- I'm asking about customers. Let me ask 8 my question, because I want to make sure I'm clear on 9 what your testimony is. 10 A Uh-huh. 11 Q In your years of experience as an industrial 12 hygienist with Monsanto, you don't know of a single 13 situation where a single customer of Monsanto's Aroclor 14 products had even one employee that demonstrated any 15 toxicological problems from exposure to Aroclors. 16 Correct? 17 A That were verified as from these materials. 18 Q I see. Well, did you have some where the 19 customer thought they related to the materials, but you 20 couldn't verify it toyour satisfaction? 21 A Maybe one -22 Q What was - 23 A -- in 35 years -- 24 Q What -- 25 A -- maybe two.
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1 Q What were those?
- -
2 A I don't recall.
3 Q Did you all in the Medical Department discuss
4 with each another any information you got about customer
5 problems with -
6 A If we felt it was germane, yes.
7 Q In your experience with the Medical Department,
8 did you ever hear of a circumstance where a customer was
9 not using PCBs with the precautions that you thought
10 were necessary, but it had not yet resulted in what you
11 considered a verifiable injury to a workman?
12 A I don't know -- how far do you want to stretch
13 the rubber band? I -- we heard of what we considered '
14 misuse, and we stopped it.
15 Q What did you do about it? That's my -
16 A We stopped it.
17 Q How did you stop it?
18 A We stopped selling it tothem.
19 Q Okay. So if Monsanto heard of a customer
20 misusing PCBs in a way that could be hazardous to the
21 customer's workmen, it was Monsanto's policy to stop
22 selling PCBs to that customer?
23 A That is correct.
24 MR. CRAWFORD: Be -- be sure you're
25 talking a bout some thing tha t you know
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1 about , and don't speculate.
2 THE WITNESS: In the -- I am talking
3 about a -- a -- an incident I know about.
4 MR. CRAWFORD: One incident, though?
5 THE WITNESS: That's true.
6 MR. CRAWFORD: Well, that's one
7 incident -
8 A I can't say that as a general -- in my opinion
9 and in my own -- of my own free knowledge, that's --
10 MR. CRAWFORD: Well, then, don't give
11 him a general answer like --
12 THE WITNESS: Well, I'm sorry. If it
13 was too general, it -- it is too general.
14 It is my own view.
15 A You realize that you're asking me for my own
16 view, and my own knowledge, and that's -- I'm giving you
17 an answer. And to my knowledge --
18 MR. CRAWFORD: Well, let's listen to
19 the --
20 THE WITNESS: Okay.
21 MR. CRAWFORD: -- questioning -
22 THE WITNESS: Okay
23
MR. CRAWFORD:
and answer it
24 spe cifically, and we'll -- we'll move
25 right along.
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1 BY MR. LACEY;
125
.
2 Q Tell me about the circumstance where Monsanto
3 learned of a customer misusing its PCB products and
4 stopped selling them to them.
5 A I don't know the -- the details of them.
6 These -- these things occurred so many years ago. I
7 can't recall those details.
8 Q You just remember there was such a customer?
9 A Yes, I do.
10
QAnd Monsanto stopped
selling to them?
11 A That is correct.
12 Q Were they a big customer or a small customer?
13 A I don't know.
14 Q Would it have madeany difference from your
15 standpoint how big a customer they were?
16 A No.
17 Q If it was the biggest customeryou had, the
18 appropriate course would still be to stop selling to
19 them if they were using it in such a way that their
20 workmen could be hurt. Correct?
21 A That is right.
22 MR. CRAWFORD; Something that you
23 know about,.now. Are you talking about
24 forever ? I mean, don't get too -- it's a
25 very general, broad question; and I'd
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1 suggest that you limit your answer to what 2 you know about. 3 THE WITNESS : I -- I assume that my 4 answer is limited to what I know, 5 MR. LACEY: I'm asking this 6 witness -- it's your wit- -- it's your -- 7 BY MR. LACEY: 8 Q Are you having any problems with the -- the 9 questions or the answers? 10 A So long as they are predicated with -- that 11 it's within the limit of my individual knowledge and 12 recall -13 Q Sure. 14 A -- yes. 15 Q Sure. Well, that's fine. I'm not asking you 16 to testify for somebody else. I'm asking for your 17 opinions here. 1 8 A My opinion doesn't mean -- isn't worth a 19 nickel. But what my recall and -- and so forth is has 20 to do with what I know of my own true -- own recall 21 and -- and my own knowledge. 22 Q Well, you were theManager for Industrial 23 Hygiene f or Monsanto f or a number of years. 24 A That's correct. 25 Q And that is a matter of some importance,
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1 probably, to the Jury in this case --
'
2 A All right.
3 Q -- what your opinion on Mon- -- what Monsanto
4 should have done.
5 MR. JONES: David, just ask,,the
6 questions. Don't make statements for the
7 recor d.
8 ' MR. LACEY: Well, I'm not making any
9 statements for the record.
10 MR. JONES: Well, it sure did appear
11 to be to me.
12 MR. LACEY: I see.
13 BY MR. LACEY:
14 Q Were you ever involved in any discussions
15 regarding the research that was being done in the 1960's
16 and 1970's on the toxicology of PCBs?
17 A I knew of it. I knew of it. And in man- -- in
18 some case s, I may have handl ed the -- the -- the --
19 the -- the transmission of the inf- -- of the -- of the
20 information from the laboratory back to the general
21 department. But everyone in the department did that on
22 screening results.
23 Q Now, you may have received or written
24 transmittal letters that went to or from Industrial
25 Bio-Test Labor atories?
--
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1 A No. I did not handle that. They did the --
2 the chronic. I limited my comments to acute data.
3 Q I see. You didn't have anything to do with the
4 chronic studies of the toxicity of PCBs?
-
5 A No.
6 Q Industrial Bio-Test was the company that did
7 all of the chronic studies for -
8 A I don't know.
9 Q You do not know?
10 A I do not know.
11 Q What -- what gr oups did you work with on the
12 acute studies?
13 A The only one I worked with is Younger
14 Laboratory.
15 Q And all of their work was acute?
16 A That is correct.
17 Q Do you remember having a discussion with a
18 Wilbur Speicher of Westinghouse Electric Company with
19 regard to the toxicity of chlorinated naphthalenes?
20 A No.
21 Q Let me show you a letter dated February 23rd,
22 1973, from Elmer Wheeler to Mr. Wilbur Speicher,
23 Document 2 513 4 through 25136 (tendering). Let me ask
24 you to review that letter.
25 A (Reviews document. )
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1 What do you want to know about it? 2 Q That letter -3 MR. LACEY: Bob, you might leave it 4 over here so he can look at it while I'm 5 asking him about it, if you would* please. 6 MR. JONES: If you would just let me 7 look at it before you ask the question, . 8 I'd appreciate it. 9 BY MR. LACEY: 10 Q That 1etter was written by Mr. Wheeler to 11 Mr. Speicher to summarize a conversation that you, 12 Mr. Wheeler, and Mr. Speicher had. Correct? 13 A I don't know. 14 Q I see. 15 A I don't recall what the occasion was at all. I 16 really don't. 17 Q You have no recollection at all. 18 Mr. Wheeler says in his first two sentences, 19 first paragraph, "Jack Garrett and I" -- is that -- are 20 you the Jack Garrett he's talking about? 21 A Yes. I am, indeed. 22 Q "Jack Garrett and I have discussed his 23 conversation with you some time ago concerning the 24 toxicity of chiorinated naphthalenes. I thought I would 25 confirm his comments to you by this 1etter" '
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1 (tendering) .
-
2 And if I understand correctly, that means that
3 you talked to Mr. Speicher about chlorinated
4 naphthalenes and discussed the contents of this letter.%
5 You have no recollection of that?
6 A None.
7 Q I see.
8 . A None at all.
9 Q Did you ever tell anyone that Askarel-type
10 fluids were under continuing surveillance and study by a
11 number of U. S. agencies, including the Food and Drug
12 Administration,- the Council of Environmental Quality,
13 the Office of Science and Technology of the President,
14 the National Bureau of Standards, and several
15 subagencies of the Environmental Protection Agency?
16 A I don't know that I ever did. I don't think I
17 was given that laundry list of agencies, but I -- it -
18 it -- it's true in the day, but I don't recall that. I
19 don't recall that letter, and I don't recall that
20 specific comment. 21 Q I see. Would you have ever told anybody it's
22 no secret that a number of individuals within these
23 agencies have proposed on complete ban on the use of
24 PCBs, including the use in transformers and capacitors?
25 A I knew that was the case through -- txyt I --
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1 but I don't know what year I knew that, and I don't know 2 how to connect it up with that year. 3 Q I see. 4 Would you have ever told anybody the continued' 5 use of these applications is currently a 1 Lowed.- under 6 restrictions based primarily on action by Monsanto to 7 prove that the current quality PCBs manufactured in the 8 United States could be used with appropriate precautions 9 without serious industrial hazards and with complete 10 protection of the environment? 11 A Most assuredly. 12 Q You would have told people, then. 13 A We did believe that -- 14 Q Okay. 15 A -- and still believe it. 16 Q Monsanto was theleader in trying to convince 17 people that PCBs could be used safely for electrical 18 applications, were they not? 19 A We were, the only manufacturer in this 20 hemisphere. If anybody led it, it was we and the large 21 user s. 22 Q Okay. And this letter was written to a large 23 user, was it not; Westinghouse? 24 A A large user. 25 Q Was it your view that even as betweerfMonsanto
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1 and the large users, it was Monsanto that was the person 2 who had the primary position in proving that PCBs could 3 be used safely in transformers and capacitors? 4 A No. And I don't know -- because I don't know ' 5 whether that had any thing to do with that letter or not. 6 Q I see. Well, again, we have Mr. Wheeler's 7 letter, which says it's summarizing what you told 8 Mr. Speicher. You have no recollection of that? 9 A I summarized what I told you about chlorinated 10 naphthalene s. 11 Q I see. 12 A Now, the rest of it may beconnected with - 13 with things I discussed with Speicher, but I certainly 14 do not remember. 15 Q I see. 16 A I had many, many conversations with --with the 17 people involved. Speicher was an industrial hygienist 18 in -- in the field. I knew him personally, as did 19 Elmer. I saw him at the meetings connected with the 20 annual meetings. We talked about many things. 21 Q Was it your opinion that the most important 22 data which has led the Government agencies to permit the 23 continued but restricted use of polychiorinated 24 biphenyls are the extensive animal toxicity studies 25 which have been "completed in the last two yeai-s, "
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1 saying that those studies have cost Monsanto something ' 2 more than a half million dollars? 3 A I don't know that that would -- was germane, 4 and I don't even know what it means. I don't know thatc. 5 I would have known the cost, in any case. The letter 6 was written by Mr. Wheeler. 7 Q I see. And it doesn't, to your knowledge, 8 then, really summarize what you told Mr. Speicher? 9 MR. JONES: David, you're - 10 A I don't recall. 11 MR. JONES: -- sitting there going 12 through a letter that he doesn't recall. 13 A I don't recall. 14 MR. JONES: We're spending about five 15 minutes on that. 16 MR. LACEY: Well, I think it's 17 probably worth five minutes. 18 MR. JONES: Seems like one question 19 could have handled it. 20 MR. LACEY: It may seem that way to 21 you. If I'd had the letter when I talked 22 to Mr. Wheeler, maybe some questions with 23 him would have. 24 MR. JONES: Maybe you should have 25 looked.
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1 MR. LACEY: Oh, I -- I didn't have it
2 when I took his deposition.
3 MR. JONES: Swear to me you didn't.
4 BY MR. LACEY:
C
5 Q You mentioned that you had a number of
6 conversations with Mr. Speicher. What did you talk with
7 Mr. Speicher about?
8 A The -- the only conversations I had with 9 Wilbur, in my opinion, were with -- were in connection
10 with the trade at -- at the annual meeting.
11 I -- I'll tell you the truth: If you brought
12 him in here, I would not recognize him. Now -13 Q Did you -
14 A -- I talked to him. He was a friend of
15 Elmer's. I knew him. We talked together. I just -- I
16 don't recall him. ,
17 Q Do you remember any discussions with him about
18 Aroclors or PCBs?
19 A We had -- we probably discussed them, because
20 it was the primary problem that -- I think, that
21 Westinghouse had in mind.
.
22 But, remember, in my case I had 2,000 problems
23 in 50 plants. And -- and -- and the amount of time that
24 I could devote specifically to the Aroclors was minimal, 25 as long as I and my subordinates felt that the.-^plants
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13 5
and their Safety and Hygiene Departments were handling ~
it appropriately.
Q When you're talking about "the plants," are you
talking about the Monsanto plants?
.
A Monsanto plants.
_
Q Okay.
A That is correct.
Q So you don't recall any -- the substance of any
discussions you had with Mr. Speicher about PCBs, if you
had any. Is that correct?
A No. I -- I'm sure we did, but I can't recall
the substance of them.
Q I see.
A I knew him for -- I've known him for 35, 40
years.
Q Do you recall thesubstance of anydiscussions
you had with anybody at Westinghouse at any time about
PCBs?
A No.
Q Do you recall the substance of the discussions,
if any, that you had with anybody at the TVA about PCBs?
A Not specifically, no.
Q Do you recall generally any discussions you had
with anybody at the TVA about PCBs?
A You're -- you're asking me almost to
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2 Yes, I had dealings with the TVA in connec- -
3 I can't connect them. I had dealings with them on
4 pollution control and -- and dealings with them on
5 handling hazardous materials.
.
6 Keep in mind, at the time TVA was in
7 manufacturing and a big competitor of ours in the
8 phosphorous and phosphorous chemical business. And yes,
9 we had -- we dealt with them.
10 Q My question was limited. I'm sorry. Let me
11 make it very clear.
12 I'm trying to find out if you remember whether
13 you had any discussions with anybody at the TVA about
14 PCBs.
15 A I -- I can't recall.
16 Q Okay. And, therefore, you certainly couldn't
17 recall the substance of them if you had them?
18 A That is correct. And they would have been many
1 9 years ago.
20 Q Do you recall whether you had any discussions
21 with anybody at all at Ford about PCBs?
22 A Of my own recollection, no.
23 Q And, therefore, you certainly couldn't recall
24 the substance of any such conversations if you had them.
25 Correct?
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1 A In detail, certainly not.
'
2 Q Even generally.
3 A No, because I don't know.
4 Q Fi ne.
5 Have you ever given a deposition before?
6 A Yes.
7 Q On how many occasions?
8 A Oh, goodness. Four or five times.
9 Q Can you tell me about those different
10 occasions; what they involved?
11 A An accident that occurred in a railroad train
12 over in central Missouri.
13 Q Is that the case that's been in trial with
14 Monsanto for two or three years?
15 A Yes.
16 Q You gave a deposition in that case?
17 A I gave a deposition in one of the cases.
1 8 Q I see. Did you testify live at trial in the
19 case, too?
20 A No.
21 Q That involved -- what chemical did that
22 inv olve ?
23 A It involved a waste material from the chi oracne
24 chiorophenol units.
25
Q All right.
What about the other depositions
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1 you've given?
-
2 A I gave a deposition on -- on a case in -- in
3 the Chocolate Bayou plant in Texas.
4
Q Do you remember what the chemical was?
*
5 A Alleged benzene exposure.
6 Q You didn't think there was any?
7 A No.
8 Q What other depositions have you given?
9 A I gave a deposition on -- on the -- on the
10 handling -- the -- the manufacturing processes connected
11 with pentachlorophenol.
12 Q And what was that -- where was that case
13 pending? What plant?
14 A I don't have the vaguest. The plant where it
15 was manufactured was Krummrich.
16 Q What else?
17 A I don't recall. I don't -- I don't remember; I
18 just don't.
19 Q The benzene exposure case at Chocolate Bayou:
20 Is that the case that was recently tried in Galveston?
21 A I don't know. I was not --
22 Q The plaintiff's name --
23 A -- involved in thecase --
24 Q I see.
25 A -- down there.
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1 Q I see.
2 A I don't know where it was tried. It was tried
3 somewhere in Texas, yes.
4 Q Recently tried, within -
5 A Yes.
_.
6 Q I see. Skeen? Does that name ring any -
7 A Yes.
8 Q -- bells?
9 A Yes.
10 Q You gave a deposition in that case?
11 A Yes.
12 Q And that deposition dealt with the
13 safe-handling practices for benzene?
14 A It dealt with benzene in that plant.
15 Q Which is where the plaintiff claimed to have
16 been exposed. Correct?
17 A That's correct.
18 Q Have you ever given a deposition before in a
19 case involving PCBs?
20 A No.
21 Q Have you ever testified live at trial?
22 A No.
23 Q Did you have anything at all to do with the
24 decision-making process by Monsanto with regard to
25 restricting the sale of PCBs to certain uses and
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1 ultimately stopping the sale altogether?
""
2 A Anything to do with it?
3 Q Yes.
4 A The whole company structure in connection with-
5 it and its assoc- -- its hazards and the claims had to
6 do with it. I -- I -- what part individuals played is
7 difficult to say.
8 Q Well, can you define any role that you
9 personally played in the decision-making process by the
10 company to get out of the PCB business?
11 A No.
12 Q Youweren't asked to comment on that or to give
13 your input?
14 A No.
15 MR. LACEY: Pass thewitness.
16 MR. JONES: Let's just take a quick
17 break.
18 THE VIDEOTECHNICIAN: We're off the
19 record.
20
21 (Recess)
22
23 THE VIDEOTECHNICIAN: We've been off
24 the record for a short break. We're back
25 on the record,, and the time is 6^-48 p.m.
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1
EXAMINATION
"
2
3 QUESTIONS BY MR. JONES:
4 Q Mr. Garrett, i have just a few questions that I
5 would like to ask you. I'm a little confusedly some of
6 the questions that Mr. Lacey asked, and I'd like to
7 clear up some of the things that may have been
8 discusse d.
9 MR. LACEY: I'm going to object to
10 the argumentative nature of the speech on
11 the record.
12 MR. CRAWFORD: Well, they were
13 conf using.
14 MR. LACEY: I'm going to object to
15 the argumentative comments of Counsel.
16 The witness and I weren't at all confused.
17 BY MR. JONES:
18 Q Mr. Garrett, let me show you the document that
19 was Bates-stamped, or whatever this number is, 038968.
20 And do you remember that document and testifying about
21 it (tende ring)?
22 A Yes, I saw it a few minutes ago.
23 Q And --
24 A Mr.Lacey showed it.
25 Q And what is that documentabout?
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1 A It's about eating in Process Departments, 2 Q Okay. And -- and it particularly talks about 3 the Aroclor process. Is that correct? 4 A Precisely. 5 Q And that's precisely the thing that i want to 6 make clear. That wa sn't the type of memo that was just 7 limited to the Arocl or process? 8 A No. 9 Q And that would have been in -- and that would 10 have been in -- true of all the processes there at the 11 Krummrich plant? 12 MR. LACEY: Object; leading. 13 A That is correct. The mem o was dir ected at th e 14 pra cti ce of eating in the Process Building. 15 BY MR. JONES : 16 Q Now, al so you'11 see ther e in the Paragr aph 17 No. 3 there --- an d let me read it. if I may ; Mr. La c ey 18 tal ked to you a little bi t about that -- it says. "W hil e 19 the Arocl or s ,are not part icularly hazardous from our own 20 experi ence. 21 Now, does that mean your own exper i ence i n th e 22 Mon santo plants, or does that also include the 23 experiences that you may have learned through your 24 customers? 25 A That would incl ude both.
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143
2 A No.
3 Q -- to the Monsanto plants?
4 A No.
5 Q It' s the --
6 A No.
7 Q -- entire body of knowledge that Monsanto may -
8 have acquired?
9 A That's correct.
10 Q Now, you also testified to the Toxicology and
11 Safe Handling of Monsanto Aroclor booklet here, which
12 was stamped 1- -- 18731. Is that correct?
13 A That's correct.
14 Q And I believe you said that that was a bulletin
15 that came from London, England, or --
16 A When I first looked at the bulletin, I -- we
17 prov- -- provided Technical Bulletins from time --
18 Technical Bulletin and information for bulletins that
19 Aroclor -- that the Aroclor group used in a -- in the
20 United States. When I first saw it, I mis- -- I -- I
21 misread it as an American document, but it turns out to
22 be the British equivalent of similar-type documents that
23 we produced in the United States.
24 Q And -- and with that in mind, did you have
25 anything to do with the preparation of that document?
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1 A The British document? Explicitly, no. The 2 the -- a lot of the data probably came from the United 3 States, because they used the body of data which 4 included American data and their data to -- to -- to t 5 draw their conclusions and write their document. 6 Q Well, did you personally review and critique 7 that particular brochure? 8 A No. 9 Q Now, you also said that from the time that you 10 began working in the Medical Department in 1953, that 11 you had documents which were similar to that available 12 in your department. 13 A That's -- no. We -- we helped prepare 14 documents similar to that for distribution, and the 15 distribution was largely done by the -- the Product 16 group. But we prepared the inforraation,.Dr. Kelly and I 17 and Mr. Wheeler, in respect of our own individual parts 18 of it. 1 9 Q Well, when you said "similar documents," 20 precisely what did you have in mind? 21 A Tech Bulletins and the documents that went out 22 with the sales literature that carried this kind of 23 inf ormation. 24 Keep in mind, this is only three pages. This 25 document has more filler pages in it than that** You
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1 see, that is the document I'm talking about right there
2 (indicating). That's all there is to it; three pages.
3 Q All right, sir. Well, I guess what I'm asking,
4
though, is: When you said a "similar bulletin," you
'
5 didn't mean one that was titled "Toxology " .
6 "Toxicology and Safe Handling of Monsanto Aroclor"?
7 A Not necessarily, no.
8 Q And you -- I believe you said that you were
9 referring to such documents as the Technical Bulletins.
10 A That's true.
11 Q And those Technical Bulletins were given to
12 the customers of Monsanto?
13 A That's tr ue.
14 Q Now, in connection with these documents here
15 that -- that we've been talking about here, the British
16 document -- and I think you compared it to some of
17 the -- at least in the abstract, the Technical
18 Bulletins.
:
19 A Uh-huh.
20 Q Is that correct?
21 A That's correct.
22 Q Is it safe to say, that, that both of these
23 documents are correct? In other words, both of them
24 will do the job?
25 A Yes.
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1 46
1
MR. LACEY: Object; leading.
'
2 A They are correct. They contain the same basic
3 toxicological data and the same basic conclusions.
4 BY MR. JONES: 5 Q So, in other words, both would do the job
6
7 A Yes.
8 Q -- you had -- was --
9 A That's right.
10 Q -- at least attempting to try to accomplish?
11 A That's right.
12 MR. LACEY: Object; leading.
13 MR. JONES: You called him as a
14 witness. This is cross-examination.
15 MR. LACEY: Sure. 35 years with
16 Monsanto, the only job he's held. Right.
17 MR. CRAWFORD: I object to the
18 comments.
19 BY MR. JONES*.
20 Q In other words, and I think to make it more
21 cl ear, that the Tech- -- the Technical Bulletins, which
22 were the American bulletins, those were more geared to
23 the practical use of Aroclors as opposed to the British
24 document that we've been referring to.
25 MR. LACEY: Object; leading^
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1 A Well, I would -- I would say that -- that they
2 covered the same ground, and we covered it differently
3 because of the different styles of the different
4 countries. It is not surprising,.in my view.
5 BY MR. JONES:
..
6 Q Is it also true that perhaps there were
7 different circumstances which the British brochure may
8 have been attempting to handle that may not have been 9 present in the American --
10 A Exactly.
11 Q -- situations?
12 MR. LACEY: Ob- -- object; leading.
13 A It is absolutely possible, yes.
14 BY MR. JONES:
15 Q Now, you don't work for Monsanto, do you?
16 A No.
17 Q In fact, you retired in 1985. Is that true?
18 A Right.
19 Q And also in connection with such information as
20 come out on the Technical Bulletin -- Bulletins or the
21 war ning labels, do you have any under standing or
22 experience in determining how the message gets across, I
23 guess, to the -- to the per son who is reading the
24 document? 25 Do you under stand w hat I'm saying? l-may not
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1 have worded that very well.
~
2 MR. LACEY: I'm going to object.
3 It's leading, to the extent it's
4 understandable.
y
5 BY MR. JONES:
6 Q Let me rephrase it. Okay?
7 A Go ahead.
8 Q What experience have you had in connection with
9 dissemination of -- of information concerning the health
10 and safe-handling aspects of Aroclors concerning maybe
11 the length of the information that you're trying to
12 communicate? In other words, would you -- if a document
13 was too long, what effect would that have on the reader?
14 A It would depend --
15 MR. LACEY: Object; leading.
16 A I think it would depend on who the audience was
17 supposed to be. 18 If the audience was supposed to be professional
19 technical people, the length was dictated by the data
20 that was available and needed. If the -- if the
21 document was placed in the hands -- was -- was for the
22 use of -- of -- of something else, it would be -- it
23 would have to have that as its main affair.
24 In our case, in the case of the Medical
25 Department, our principal aim was to prepare information
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1 that could be used by our plants and customer plants.
2 BY MR. JONES:
3 Q So, in other words, it would depend on the -
4 the audience, then, that you were trying to communicate'
5 with?
...... ...
6 A That is absolutely correct.
7 Q And in some instances, if a document was too .
8 long,.it's your experience, then, that perhaps the
9 reader may not read it?
10 A That's my opinion, yes.
11 Q And in such a case, then, the message wouldn't
12 get across that you were trying to convey?
13 A That's probably correct.
14 Q You also testified, if I understood you
15 earlier -- and correct me if I'm wrong -- that Monsanto,
16 if it learned of any misuse of any of it's Aroclor
17 products, that it would automatically stop selling those
18 products to that particular customer.
19 A I did not mean that. If I said it, I'm -- I'm
20 sorry. I'm incorrect.
21 Q All right, sir. Then tell me what you meant to
22 say.
23 A I mean to say that if Monsanto determined that
24 there was a gross misuse of a product that was hazarding
25 the life of worker s in their immediate life, then
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1 Monsanto would make every effort to stop that
2 circumstance and at -- to the point of removing it from
3 sal e.
4 Q Did you ever know of any such situation, then?
5 A 0 n e.
........
6 Q And -- and what did that involve?
7 A It was an occurrence where our -- where a
8 product was used, an Aroclor product was used, misused,
9 as a mold release agent in brass founding because it
10 became -- it was a good mold release agent.
11 Q And was -- and was that the situation that you
12 referred to earlier which -- where you -- was that the
13 Ohio firm, I believe, that you were talking about?
14 A No. It was a Michigan -- it was a Pontiac,
15 Mi chigan, firm, I think; but I'm not sure. But it was
16 gross misuse of the product.
17 ~ The product that was -- at the time was a
18 hydraulic fluid, and this was being -- was being used as
19 a -- as a mold release agent in brass founding. And it
20 was causing the material to pyrolize and -- and the
21 fumes were -- were -- they were immediately ha rmf ul to
22 the workers. And we stopped it.
23 Q So, in other words, that was a use for which
24 the product was not designed?
25 A That is correct. It was sim.ply not designed
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1 for that use.
2 Q And that would be gross misuse, in your mind?
3 A That is gross misuse, yes.
4 Q And that's the only instance that you have
5
heard of or have any recollection of --
. .......
6 A That is correct.
7 Q -- where Monsanto quitselling the Aroclors?
8 A That is correct.
9 Q So what you're telling us, then, it would
10 certainly depend on the circumstances of the misuse
11 before something like that would take place.
12 MR. LACEY: Object; leading.
13 A If it was grossly misused, it would depend on
14 where would you get the information, how would you know
15 it was true, and how would you verify it.
16 In this case, this was a new use and we
17 could -- we could -- we could study it.
1 8 But I repeat, in my 35 years I never saw a case
19 resulting from Aroclor exposure. I'm sorry, but I did
20 not.
21 BY MR. JONES :
22 Q Now, during the years that you worked with
23 Monsanto in their Industrial Hygiene.area, the Medical
24 Department, did anyone at Monsanto ever tell you or
25 re strict you in a ny way a s to what you could s*oy to
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Monsanto's customers about what Monsanto knew about the
product, the health and safety effects, or the proper
handling of the Aroclor product?
A Absolutely not.
~
Q So that type of information was freelygiven by
you in connection with your duties as an industrial
hygienist?
.
A That --
MR. LACEY: Object; leading.
A That is correct.
BY MR. JONES:
Q And how did you convey such information?
A By every means that was available. We -- we
talked to them by phone; we sent out bulletins to them.
We made talks as -- at -- at -- at plants, our
own plants. We were rarely invited into a competitor's
plant. I mean, let's be -- be -- be perfectly honest
with our selves.
We -- we gave speeches at various meetings. We
had conf erences and -- with -- with -- with people a t
various meetings. We talked in the halls to people that
were associated in the business. We talked to our own
salespeople conne cted with their distribution of the
materials.
Ther e was never any restr i ct-i on on what we
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1
could say in connection with what we knew about the
-
2 product, its toxicology, and handling.
3 Q And was that information given not only to the
4 customers, but other groups also?
.
5 A Gave it to the Government; we gave it to
6 universities; we gave it to -- we gave it to anybody who
7 as ke d for it.
8 Q What are Material Safety Data Sheets?
9 A Material Safety Data Sheets are data sheets
10 prepared specifically on an individual material. A
11 Material Safety Data Sheet is the safety data connected
12 with the material entitled.
13 Q What would you do with such a Material Safety
14 Data Sheet?
15 A Distribute them.
16 Q Whom would you distribute it to?
17 A We would distribute them to anybody who wanted
1 8 them, and we would automatically distribute them to all
19 of our plants and our -- and our sales offices for the
20 purpose of answering questions that came to the sale
21 office from local areas,.particularly fire departments.
22 PI ant s -- customer s, small customer s would call
23 the local sales office, and they had copies of the
24 Material Saf ety Da ta Sheets to distribute.
25 Q Did you ever send any of those Mater-a_al Saf ety
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1 Data Sheets to the customers themselves?
'
2 A The -- the primary purpose for them was to give
3 them to customers.
4 Q What is a Toxicity Information Sheet?
5 A Because it was difficult to -- to :--...-to give
6 all the toxicity information out in bits and pieces,
7 the --. the stuff that was published in journals and so
8 forth, a -- a summary of the toxicity of an individual
9 product was made by a professional toxicologist after
10 they joined our staff. And those Toxicity Information
11 Sheets covered a summary by a professional toxicologist
12 on the toxicology that we had or knew about that came
13 from the literature from our own files and reports.
14 Q Now, you had Material Safety Data Sheets on the
15 Aroclors. Is that correct?
16 A From the time there were Material Safety Data
17 Sheets, actually as a -- as an issue. There were many
18 different ways Material Data Sheets were -- were -- were
19 framed and distributed.
20 Q Okay. But that -- they also involved Aroclors?
21 A Yes.
22 Q And is that also true with the Toxicity
23 Information Sheets?
24 A The Toxicity Information Sheets were -- were
25 largely given to professionals, because they w"5re in
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1 toxicology language. 2 The -- the -- the Material Safety Data Sheets 3 originally -- the original ones were largely in 4 language -- in common, everyday language. 5 Q Okay. But now my question was, -tho-u-gh : Were 6 these Toxicity Information Sheets also prepared in 7 connection with Aroclors? 8 A Yes. 9 Q And I believe you said they were sent to 10 prof e ssionals. 11 A That's correct. 12 Q Do you mean the professionals such as yourself, 13 industrial hygienists? 14 A Physicians, toxicologists,epidemiologists in 15 the field. 16 Q And it would be those types of individuals 17 which worked for your customers? 18 A Yes. 19 Q And were those ToxicityInformation Sheets 20 concerning Aroclors ever updated? 21 A It -- it -- I am not a toxicologist, and the 22 toxicology people did this. They were -- all of the 23 occup- -- of the -- the health data sheets were 24 periodically updated. Now,. I would assume that, but I 25 am a -- not -- do not hav e di rect kno.wl edge ofH"it.
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1 Q On how many occasions would you rec- -- have a
2 request for information from your customers concerning
3 Aroclors and how to properly handle them or what the
4 health effects were?
-*-
5 A That would be difficult to say. It wquld -- it
6 would number into the -- I don't know. In -- in my
7 recall, recollection, it had to number well over a
8 hundred. Probably in the hundreds.
9 Q I'd like to show you a couple of documents and
10 just ask if you can identify them for me.
11 The first one is No. 024743, which is a
12 document which you had prepared and sent to a Robert
13 Ransier, dated Nov- -- September 20, 1961 (tendering).
14 Is that correct?
15 A Uh-huh.
16 Q What is that letter? What were you writing
17 a bo ut ?
18 A This is the -- a letter to a gentleman from the
19 Marquardt Corporation in Van Nuys, California.
20 He says, "In accordance with our telephone
21 conversation" -- I see -- "yesterday, I have enclosed a
22 copy of Monsanto's most recent bulletin on Aroclor
23 1248" -- and that was one of our bulletins -- "as well
24 as our own toxicity information concerning this
25 product. "
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1 Now, that would -- that would be an ext- -
2 that would be an extension of what was in the bulletin,
3 because this would be the toxicity information in
4 toxicology terms.
.
5 "Also enclosed is a reprint entitledThe
6 Toxicity of Vapors of Aroclor 1248 and 1254 Reported to
7 Monsanto-Sponsored Work."
8 That's the Kettering work done on the
9 decomposition products of Aroclor 1242 and 1254 done by
10 Dr. Treon at Kettering in 1958.
11 Q So, again, this is an attempt where a customer
12 was requesting information concerning the toxicity or --
13 and -- or health and safety effects concerning Aroclors?
14 A And we gave them everything that we had.
15 Q And you -- and you gave him the information?
16 A Generally, yes.
17 Q I'd like tor you to look at Document 029391 and
18 ask you if that (tendering) -- first of all, to identify
19 that, and -- and tell me if that is also a similar
20 in stance where that --
21 A Yes,
22 Q -- the same thing happened. 23 A Yes.
24 Q Can you identify the document for me? 25 A The document is Mar ch 1st, '63. It' S'-to a
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1 Mr. D. N. Griffiths, Purchasing Department, Delco-Remy ~ 2 Division, General Motors in Anderson, Indiana; and it - 3 it -- it was material we sent to them at their request. 4 Q And what -- what specific material did you send, 5 them ? 6 A As you -- let me see. "Our bulletin covering 7 this compound will appear in the questions 1232 8 passed -- posed m your mimeograph form, with the 9 exception of the No. 1 question concerning the toxicity 10 rating. As you know, Aroclor 1232 is a chlorinated 11 biphenyl, chlorinated to 32 percent by weight," and so 12 forth. 13 It -- it -- it is a great deal of toxicity 14 information I gave to Mr. Griffiths. 15 Q Okay. I would like for you to identify several 16 other documents here, and then let you tell me if it's a 17 similar instance where you were trying to communicate 18 information concerning the Aroclors that Monsanto 19 manufactured to various customers that it had. 20 Could you please identify Document 025349 21 (tendering)? 22 A It's -- it's to -- to a -- a Mr. Fleming of 23 Industrial Hygiene and Occupational Health Branch, 24 Tennessee Valley Authority, in connection with a 25 specific hydraulic.
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1 Q And I'd like to also show you Document 025350 ' 2 and ask you to identify that (tendering). 3 And we'll keep these all in a stack for you. 4 A It's a discussion, obviously, from something t 5 Mr. Fleming asked in connection with -- with their 6 problems in -- in compression using Pydraul 625. 7 Q Okay. I'd like to also show you Document 8 016391 (tendering) and ask you to identify. Give me the 9 date and the name of the person that you wrote it -- 10 A This is November 1, 1967, and I wrote it to 11 Wilbur Speicher. 12 Q And who does he work for? 13 A He works for -- for Westinghouse Electric 14 Corporation. 15 Q Okay. I'd like to show you Document No. 29460 16 (tendering), and please identify that. 17 A John Hogan, Safety Director, General Tire and 18 Rubber Company, Textileather Division, P. O. Box 19 So-and-So, Toledo, Ohio. 20 Q All right. 21 A We transmitted to him information connected 22 with the handling and toxicity of these products. 23 Q I'd like to show you Document 029461 and ask 24 you to identify that (tendering). 25 A That's to Mr. -- this was a -- this i..^, --
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1
Dr. Alexander E. Earle, . Plant Physician, . FMC, the
'~
2 American Viscose Division, Front Royal, Virginia.
3 This letter was composed for information
4 connected with the material itself, and it was dated May
5 19, 1970 --
.
6 Q Okay.
7 A -- to FMC.
8 Q Okay. Identify Document No. 026061
9 (tendering).
10 A It's a -- a letter. "I'm enclosing a copy of 11 your filled-out Material Safety Data Sheet covering our
12 product, Thermanol FR Low-Temp. I'm sorry the tardy
13 reply for your letter is" so-and-so. And it is to
14 Mr. C. S. Boettger, Purchasing Agent, Sun Shipbuilding
15 and Drydock Corporation, Chester,.PA.
16 Q Okay. Finally, I'd liketo show you
17 Document 025317. Please identify the date and who the
18 information was directed to (tendering).
19 A The date is January 18, 1977; Acute Toxicity of 20 Aroclors request from Ford Motor Company. It is to
21 Keith Lee, Industrial Hygiene Section, Central Medical
22 Service at Ford Motor Company.
23 Q Okay. 24 MR. LACEY: May I see that,
25 MR. JONES : One se cond.
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1 BY MR. JONES:
''
2 Q Now, what I've got, I've assembled all of those
3 documents that you've just identified, and I have them
4 in that pile right there that is before you. Are those'-
5 all inquiries, then, about -- or responses to inquiries
6 of customers concerning the health and safety effects
7 and proper handling of the Aroclor products?
8 A That's tr ue.
9 Q And those are your attempts to convey the
10 information concerning those health and safety effects
11 and proper handling of the Aroclors?
12 A That is correct.
13 Q And did you ensure that those were sent and
14 received by those customers?
15 A Yes.
16 Q How did you do that?
17 A We "" we had them typed. I ultimately signed
18 them,.put them in a envelope, and they were mailed.
19 Q And your secretary mailed them?
20 A She mailed them. That is correct.
21 Q Did any of those ever come back?
22 A You mean as nondeliverable, anything like that?
23 Q Yes, sir.
24 A No.
25 Q Now, those are just a sample of -- of.-U:he types
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1
of inquiries your customers were asking you about?
''
2 MR. LACEY: I object. You did not
3 lay the predicate for it; you did not
4 establish that he's looked for the files t
5 to determine whether there are any more
6 than that at all.
7 BY MR. JONES:
8 Q Please answer the question.
9 A There were many hundreds of calls and
10 correspondence to customers who used the product, asking
11 for information or further information.
12 Q And so --
13 A And we gave it to them.
14 Q And so based upon your -- your knowledge and
15 experience, then, that pile of documents that I have in
16 front of you is j ust not --
17 MR. JONES : Just a second,.David.
18 MR. LACEY: I'm sorry.
19 A Is not the only ones?
20 BY MR. JONES:
21 Q -- is not the only ones?
22 A No.
23 Q Would there be several hundred more, or --
24 A There should be. But much of it was handled by
25 phone and by the simple mailing of the documenrfe-s.
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1
Q
Okay. I'd like to also show you a document
'
2 that is marked 024940 (tendering). Can you identify
3 that ?
4 A- That's an American Industrial Hygiene
5 Association Hygienic Guide on Chiorodiphenyls containing
6 42 and 54 percent chlorine.
7 Q Now, you said "diphenyl." Is that the same
8 thing as biphenyl?
9 A That is correct. Diphenyl is simply thelDC
10 correct way of saying it.
11 Q Did you prepare that document?
12 A Mr. Wheeler and I prepared part of it and were
13 the advisors on the document itself, yes.
14 Q And was that a document which was published in
15 the public records?
16 A It was published in the Journal of the American
17 Industrial Hygiene Association, and was printed as a
18 separate document and was sold by them as an individual
19 document or in a book of documents containingas many
20 Hygienic Guides as you wanted, or the whole set if you
21 wished.
22 Q What is the American Industrial Hygiene
23 Association?
24 A It is the primary industrial hygiene
25 a ssociation in the world.
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1 Q And how widely are their publications 2 disseminated -- 3 A Worldwide. 4 Q -- in industry? 5 A Worldwide. 6 Q And inaddition to having those articles 7 published, what did Monsanto or people like yourself do 8 with an article like that? 9 A Well, we collected -- we bought them from the 10 AIHA and sent them as a set to all of our plants, all of 11 the foreign plants, and to all of the major sales 12 offices for a source of information for them. 13 MR. LACEY: I'm going to want those. 14 MR. JONES: What did you say? 15 MR. LACEY: I'm going to want those. 16 MR. JONES: Oh, sure. 17 BY MR. JONES: 18 Q Have you ever heard of a Chemical Safety Data 19 Questionnaire? 20 A Some of the -- the letters you just asked for, 21 in connection with providing information for those. 22 Q Well, let me show you a document which is 23 marked 025338 through 025341 (tendering). Can you 24 identify that? 25 A It's a request from Ford Motor Company, for us
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1 to supply them with information on their Hazard Data
2 Form or their Chemical Safety Data Form. And we
3 transmitted the data we had in our files and from our
4 own form onto the Ford form.
'
5 We did this to -- I don't -- dozens..o-f-
6 companies asked; and where the form was adequately put
7 together, we would do that. If it were -- if it -- if
8 it was not possible to do that, then we would send them
9 a collection of our toxicity data, and did that in many
10 ca se s.
11 Ford happened to be -- happened to give out a
12 decent form. There were -- there were some, though, on
13 cards that just simply were not appropriate. So we
14 would send the card back and a whole pile of information
IS or bulletins and so forth, and say, "Here is the
16 information, and here's a summary of the toxicity,"
17 using the Toxicity Summary, and let them try to put it
18 on their little card.
19 Q So are you saying,.then, that Ford was a little
20 more sophisticated than --
21 A -- many, many companies that had their
22 professional crews.
23 If you'll notice, we got some of these requests
24 from -- from Purchasing Agents, because someone had told
25 the Pur chasing Agents to go get this ,inf ormatitm, I -- I
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1 presume. We got some of them. And -- and -- and we ' ~
2 sent it in filled-out forms, if the form was appropriate
3 to fill out; if we could put -- fit our data to their
4 form. In other words, if the form allowed enough .
5 latitude to put it down, we did.
_
6 Q So these Chemical Safety Data Questionnaires
7 were then forms which the customer sent to you which
8 they requested that you fill out?
9 A Right.
10 Q And what were the purposes of those forms?
11 A Presumably, it's for their information on their
12 sheets.
13 Now, these are predicates to the current
14 computer-system era, where they wanted these so they
15 could key-sort them, or something like that. That's why
16 they had specific forms, because we could have given
17 them a copy ot the AIHA Guide, which gives them a lot of
18 the same data; but they wanted it in their way so they
19 co ul d use it in their own -- in their sy stems. Many of
20 these things went on key-sort files.
21 Q Okay.
22
23 (Conference off the record between
24 Mr. Jones and Mr. Crawford)
25
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1 BY MR. JONES:
2 Q Mr. Garrett, I'd also like to show you a
3 document which is marked as 032231 (tendering). Could
4 you please identify whether you wrote that, when you
5 wrote it, if you did, and who you sent it to?.
6 A It's to an official in the Los Angeles County
7 Air Pollution Control District, and we provided them
8 with some information that they asked for.
9 Q well, j ust answer my question, though. When
10 was it written?
11 A March 24, 1969.
12
Q And didyou, in fact,
write that?
13 A Yes.
14 Q I'd liketo show you --
15 BY MR. JONES: Just a se cond, Davi d.
16 MR. LACEY: May I see it for a
17 moment ?
18 MR. JONES: One second. I'm not
19 going to be that long.
20 MR. LACE Y: Okay.
21 MR. JONES: Okay.
22 BY MR. JONES :
23 Q I'd like to also show you a document which is
24 marked 029459 (tendering) --
25 A Uh-huh.
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1 Q -- and please do the same thing. Just identify
2 it: the date, who wrote the letter --
3 A That's from --
4 Q -- and who was it to?
5 A That's from Lynn Shaw, who's a -- who'_s an
6 occupational -- who's the industrial hygiene -- at that
7 time, Chief of the Industrial Hygiene staff of the
8 Department of Health of the State of New Jersey. And it
9 was the same thing. It was an -- inf ormation they
10 wanted.
11 Q Would you please also identify 032240.
12 A That's the Michigan Water Resources Commission
13 people, asking for concerning Aroclors as far as its
14 toxicity to -- to their purviews, fish and wildlife.
15 Q Now, let's just identify now.
16 A It was to Mr. W. G. Turney, Mi chigan Water
17 Resources Conunission in Lansing, Michigan. And this
18 gentleman asked for some information, and we provided
19 the information to him.
20 Q And what is the date of that?
21 A November 11 , 1 96 9.
22 Q Now, I'd like also to show you a document which
23 is marked 03 2246 (tendering). Can you identify that?
24 A This is dated January 26th, 1970. It's to "
25 Mr. C. L. Gough, G-o-u-g-h, in the Indiana Sta-be
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1 Department of Health. And they asked for some
~
2 information, and we provided it to them.
3 Q Okay.
4 Now, all of those documents that we've just
5 been discussing and that you have before you there in
6 the pile or in front of you: Those are all documents
7 that have been written by you?
8 A Yes.
9 Q And they were in response toinformation
10 requested by various Governmental agencies?
11 A That's correct.
12 Q And it was environ- -- information concerning
13 the health effects of Aroclors and safe handling of
14 Aroclor s?
15 A And its effect on fish and wildlife.
16 Q And you supplied theinformation by those
17 letters -
18 A Yes.
19 Q -- back to them and answered their questions?
20 A Yes.
21 Q And is -- would that be the only inquiries that
22 you received during the time that you worked with
23 Monsanto from Gov er nmental agents?
24 A No.
25 Q About how many would you receive?
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1 A That would be difficult to say; a number of ~ 2 them a year. 3 As you know, I was involved in the pollution 4 control business and was an official at one time in thet 5 Water Pollution Control Federation. And I would be 6 approached in the -- in the area of fishery and -- and 7 water pollution from that side of my duties at that 8 time. 9 Q So this is only, then, a representative sample 10 of the several -- 11 A That is correct. 12 Q -- inquiries that you received? 13 A That is correct. 14 Q And several of those were even on the 15 telephone. Is that correct? 16 A Yes, with a slip-in affair with an envelope 17 with the bulletins or something. I would siip it to 18 them. 19 MR. JONES: Pass the witness. 20 21 22 23 24 QUESTIONS BY MR. LACEY: 25 Q Mr. Garrett, you are a retiree from Mansanto
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1 after 35 years of employment?
2 A That is true.
3 Q Do you receive any retirement income from
4 Monsanto ?
5 A Yes.
. . ...
6 MR. JONES : Obj ect to the question
7 That i s compie tely i rreleva nt to this
8 depo siti on.
9 MR. LACEY : It is not irr eleva n t.
10 MR. JONES : Cer tainly, it is --
11 BY MR. LACEY:
12 Q How much do you --
13 MR. JONES: -- what this man
14 receives.
15 BY MR. LACEY:
16 Q How much do you get by way of compensation from
17 Monsanto as a retiree of the company?
18 MR. JONES: You don't have to answer
19 those types of questions.
20 BY MR. LACEY:
21 Q Do you have any problems --
22 MR. JONES: That's -- that's your own
23 personal business.
24 BY MR. LACEY:
25 Q Do you have any problems with tell ing~me that?
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1 A I would prefer not to answer that.
2 Q Do you hold -- do you own any stock in
3 Monsanto ?
4 MR. JONES: Same -- same thing.
5 A Ipurchased it.
_ ....
6 BY MR. LACEY:
7 Q You do own stock in Monsanto?
.
8 A A small amount.
9
Q I see. How many
shares?
10 MR. JONES: You don't have to answer
11 that if you don't want to.
12 A I don't think it is proper to answer it.
13 BY MR. LACEY:
14 Q I see. Well, there's no question about your
15 being a loyal Monsanto employee, is there?
16 MR. JONES: He's not an employee.
17 A I'm not an employee.
18 BY MR. LACEY:
19 Q Were you a loyal Monsanto employee?
20 A I don't know what you mean. You use -- you
21 make the word "loyal" so und na sty.
22 Q I see. Okay. Is there any question about your
23 sentiments lying with Monsanto in this 1awsuit?
24 A To tell you the frank truth,.I don't know what
25 the lawsui t is much about.
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1 Q I see. 2 A But if -- you know. 3 Q Now, with regard to the memorandum that was 4 written to the Krummrich plant about the Medical 5 Department's opinion with regard to the eatin g-- of 6 lunches in the Aroclor Department, I just want to be 7 perfectly clear: Did you or did you not at the same . 8 time write similar memorandums to every -- with regard 9 to every other department in the plant? 10 A The letter was m connection with a discussion 11 and a question concerning Aroclors. However, at the 12 time --
13 Q My question to you is a very specific -- 14 A -- the Medical Department -- 15 MR. JONES: PI ease let -- 16 MR. LACEY: No. 17 MR. LACEY: 18 Q My question is a -- 1 9 MR. JONES: PI ease let him finish 20 MR. LACEY: 21 Q -- very specific one 22 MR. JONES: -- hi s answer. 23 BY MR. LACEY: 24 Q -- and that is: Did you write a similar memo 25 regarding every other department at the plant'-at the
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1 same time ? 2 MR. JONES: Mr. Lacey, I would 3 appreciate you not interrupting the 4 witness. Let him answer his questions. 5 MR. LACEY: I'd like the que- -- I'd 6 like the answer to my question, which is 7 either "yes" or "no." 8 MR. JONES: Let him answer it. 9 MR. LACEY: You told him yourself -- 10 MR. JONES: Let him -- 11 MR. LACEY: I heard him in your own 12 examination tell him, "Just answer my 13 question," and that's what I'm going to 14 ask him to do. 15 MR. JONES: Well, let him answer it. 16 Don't - 17 MR. LACEY: Fine. 18 MR. JONES: -- jump on his answer 19 before you -- 20 MR. LACEY: Let me ask -- 21 MR. JONES: -- ask the next question, 22 MR. LACEY: Let me ask the question. 23 24 (Discussion off the record) 25
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1 BY MR. LACEY: 2 A Did you, at the same time you wrote that 3 memorandum about not eating lunches in the Aro cl or 4 Department, write a similar memorandum regarding each 5 other department in the Krummrich plant? - - - 6 A I have no idea. 7 Q Okay. In fact, are you aware of writing a 8 similar memo regarding any other department in the 9 Krummrich plant at that time ? 10 A On many occasions. 11 Q At that time? 12 A In -- in this general time area -- 13 Q I see. 14 A -- time space. 15 Q Okay. Why did you pick the Aroclor Department 16 to write this particular memo regarding? 17 A It obviously resulted from a question on 18 Aroclor and eating. 19 Q When you say, "It obviously resulted," what 20 tells you that? 21 A It said, "It is the opinion of the Medical 22 Department that eating 1unches should not be all owed in 23 this depar tment. " 24 Q Well, what tells you there was any question
i
25 that came in that that's responding t.o?
----------------------------------------------------------------------------------- ------- 1 >3to.
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176
A At the time -- at the time and through the early part of my career in Monsanto, the Medical Department -- and that included Dr. Kelly and the rest o us -- felt that eating in the processing areas was ' " improper. We used every possible chance to say, "Do not do it."
So this letter contains a double message: Aro cl or in specifics, and the whole practice of eating in the process units.
Q My specific question to you isi What tells you that there was a question that came into the Medical Department saying,."Is it okay to eat in the lunchroom or in the operating room in the Aro cl or Department?"
I A Well, I don't know, but it sounds like we're answering a query. Q Well, that -- A That's.my view, and that's my opinion of it: We're answering a query. Q What in the memo can you point to that -- that leads you to believe that you're answering an inquiry? A "It is the opinion of" -- why would the opinion of the Medical Department be expressed in -- in -- in this memo in connection with this problem if it had not covered the entire plant and would have been sent to the Plant Manager -- in this case, sent to the Safety
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1
Director, who obviously queried us about something
'
2 connected with eating in that Aroclor Department.
3 MR. CRAWFORD: David, he gave you
4 that same answer about 30 minutes ago --
5 BY MR. LACEY:
_
6 Q Let me ask a question about that.
7 MR. CRAWFORD: -- to the same
8 question.
9 BY MR. LACEY:
10 Q When you made plant inspections and found
11 unsafe practices, did you send out memos like this to
12 advise people of those unsafe practices and what you
13 thought ought to be done about them?
14 A I ans- -- I -- every pi ant inspe ction I made, I
15 answered -- I finished with a letter report to the Plant
16 Manager; to the -- the conta ct in the pi ant, if it were
17 the hygienist and they had one, and they didn't in those
18 early days ? or to the Saf ety Director, with copies to
19 Dr. Kelly and to our files.
20 Q Okay. And so then you must not hav e discover ed
21 this problem on a plant tour?
22 A It -- it could have come from that kind of a
23 re port or. a letter.
24 Q I see. Okay. So it may not be an inquiry; it
25 may be a plant tour that led to this?
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1 A It may have been a plant tour.
2 Q Now, Mr. Jones asked you whether the reference
3 to "our own experience" referred only to Monsanto
4 experience, or also to the experience of your customers;
5 and you said that referred to not only Monsanto-1 s
6 experience, but that of your customers. Is that
7 correct?
.
8 A It would be difficult to separate the two.
9 Q Well, with regards to yo ur customers'
10 experience, you made no effort to investigate whether or
11 not your customers were having to xicological problems
12 with PCBs, did you?
13 A We had information from the -- our association
14 with their people in the meetings we went to at regular
15 interv als.
16 Q My q uestion to you is: You made no effort to
17 determine whe ther or not your customers were having
18 toxicological problems with your PCBs, did you?
19 A I -- I don't see that that's germane.
20 No. But we didn't also make any effort to see
21 if they all w ore mustaches or not. I mean -
22 Q I un der stand.
23 A -- I don't see that it makes any difference.
24 Q Well , I think it makes some difference if you
25 say, "Well, w e didn't know about any -pr obi ems "with our
NELL MC CALLUM & ASSOCIATES, INC.
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17 9
1 customers." It's a ditference -- there's a difference
2 between whether you looked --
3 A There is --
4 Q -- to find out if there are any, or just none
5 of them came to your attention.
6 A There is little doubt they would have asked.
7 Q I see. And it's your testimony that you're not
8 aware of circumstances where people brought those
9 problems to the Medical Department. Correct?
10 A We had many, many, many requests from many,
11 many, many places about information.
12 Q No, I'm not saying about information. I'm
13 saying, brought to the Monsanto Medical Department
14 problems resulting from exposure of workmen to PCBs.
15 A No.
16 Q Okay.
17 Now, with regard to the document on Toxicology
18 and Safe Handling of Monsanto Aroclor, Document 18731
19 through 18737 (tendering), if I understood the questions
20 that you were asked, you don't recall Monsanto in the
21 United States having a single document devoted solely to
22 toxicology and safe handling. Is that correct?
23 MR. JONES: I object to that
24 question. That's a mischaracterization
25
of his --
.
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1 THE WITNESS: I j ust testified
2 MR. JONES: -- testimony. 3 MR. LACEY: Well, I just want to make
4 sure I --
'
5 THE WITNESS: That is not ...true.
6 There are --
7 MR. JONES: Well, it mischaracterizes
8 his testimony.
9 BY MR. LACEY:
10 Q What documents are there -
11 MR. CRAWFORD: Well, wait just a
12 second. The court reporter's going to
13
quit. One at a time.
.
14 BY MR. LACEY:
15 Q What bulletins are you aware of that Monsanto
16 put out in the United States devoteed solely to
17 toxicology and safe handling of Aroclors?
18 A We put out the bulletins you saw, the -- the
19 Hygienic Guides.
20 Q I see. Okay.
21 A We put out the Form 20s. We put out -- our
22 information and materials were involved -- were inserted
23 in many of the bulletins that went out on Aroclor in
24 general; and in -- particularly in the Tech Bulletins,
25 which also covered the -- the vapor pressures and other
NELL MC CALLUM & ASSOCIATES, INC.
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1 materials.
2 Q Okay. Were -- now, let me -- let me sort these
3 out one by one.
4 You say that there were Hygienic Guides on PCBs
5 only. Right?
- . ,--
6 A That's right.
7 Q Were those given to customers on a regular
8 basis or only on an as-requested basis?
9 A They were published in the public -- in the
10 technical peer-reviewed press. They were also provided
11 by us to anyone who asked or anyone we felt was --
12 needed such a document.
13 Q Okay. So that was contained in some larger
14 volume that dealt with -
15 A Oh, yeah.
16 Q -- a lot of other chemicals besides -
17 A No.
18 Q -- PCBs?
19 A No. When it was -- the individual sheets were
20 individualized. They were folded to four-page sheets,
21 each individual one. We sent each -- any time anybody
22 queried us about -- about a product covered by one of
23 the sheets, we sent them a copy of the sheet.
24 Q You only sent out the Hygienic Guide series on
25 PCBs when a request came into Monsanto. Correct?
NELL MC CALLUM & ASSOCIATES, INC.
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1 A No.
2 Q When else did they go out?
3 A We sent -- are you talking about this series
4 (indieating).
'
5 Q Yes, the Hygienic Guide. - ---
6 A We sent it out when we were asked. You're
7 right.
8 Q Okay.
9 A When we were requested.
10 Q Now,what other documents did you send out that
11 were solely related to the toxicology and safe handling
12 of PCBs ?
13 A We sent out the summaries of the toxicology
14 data itself.
15 Q And those were only sent out when requested.
16 Correct?
17 A True.They came from -- from articles printed
18 in the technical press.
19 Q What other -- what other documents devoted
20 solely to PCBs did Monsanto send -
21 A The section on safe handling in the Tech
22 B ulletins.
23 Q Okay. Now, that's not a document devoted
24 solely to the safe handling of PCBs; that's part of a
25 larger document, is it not?
.
NELL MC CALLUM & ASSOCIATES, INC.
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1 A Tha t' s true.
2 Q This document that we've looked at, called "The
3 Toxicology and Safe Handling of Monsanto Aroclor,"
4 Document 18731 through 18737, is devoted solely to
5 toxicology and safe handling, is it not? ' ' '
6 A It is devoted solely to Aroclors.
7 Q And solely to the safe handling and toxicology
8 of that -- that product, is it not?
9 A I hate to say this to you, but -- but we've
10 written doc- -- we've written letters longer than that.
11 Q But that document, short though it be, is
12 devoted solely to the toxicology and safe handling of
13 Monsanto Aroclors, is it not?
14 A I assume that's true. I don't know from my own
15 personal knowledge.
16 MR. JONES: Well, just testify to
17 your own personal knowledge.
18
A I don't
know.
19 BY MR. LACEY:
20 Q Have you had difficulty in looking over that
21 short document and determining that's all it deals with?
22
A Not much
difficulty.
23 Q And that is all it deals with?
24
A That is
correct.
25 Q Okay.
NELL MC CALLUM & ASSOCIATES, INC.
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1 Now, I believe you told Mr. Jones that if you
2 have long documents, they tend not to get read. Is that
3 correct?
4 A In -- in -- in -- in cases, if you
5 differentiate the audience.
..
-
6 Q And isn't it a fact if you put in a short
7 section on toxicology and safe handling in the middle of
8 a document that's 30 or 40 pages long,.it's a lot less
9 likely that's going to get read than if you put out a
10 nice, short, succinct document like this one, devoted
11 solely to toxicology and safe handling (indicating)?
12 A I don't -- I don't know how to answer that
13 question. I really don't.
14 Q Well, isn't it a fact that when you bury a
15 section on toxicology and safe handling in the middle of
16 some Technical Bulletin, it's a lot less likely to get
17 read and heeded as part of some long document than to
18 put out a nice, short, succinct document like that one
19 (indicating), which is devoted solely to that particular
20 topic?
21 A Your premise is correct, but you're pointing to
22 various documents that are not correct.
23 Q Well, let me point to this one right here,
24 "Toxicology and Safe Handling of Monsanto Aroclor," that
25 very short document you've referred to (indicating).
NELL MC CALLUM & ASSOCIATES, INC.
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1 A Th;at -- that -- that documen t i s -- is very
2 shor t. Yo u ' re correct. It -- it cov er s appr ox i m a t ely a
3 half a page of information on toxicol gy and a -- a 4 half a page on -- on first aid . Ther e i s virtually that
5 much informatitan in connection wi th a ny of the' docume nt s
6 we put out.
7 Q Well, my question -- 8 A It i s not my idea of a -- of a -- of a top
9 document. It is their top document, because they have a
10 ditferent audience than we have.
11 Q I see. But my question to you is; A separate
12 document like that on toxicology and safe handling is a
13 lot more likely to get read than if you bury the section
14 on toxicology and safe handling in the middle of some
15 much longer document. Correct?
16 A I would assume that's correct, but the -- the
17 information is not just theirs on the labels. And
18 that's the only thing they see when they receive the
19 br unt of this stuff.
20 Q I see. By the way, did the labels even say
21 that the material inside the dr urn was polychlorinated
22 biphenyl?
23 MR. JONES: Do you have a label that
24 you want to him look at?
25 A I don't know.
NELL MC CALLUM & ASSOCIATES, INC.
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1 BY MR. LACEY:
2 Q You don't even know what was on the labels, do
3 you? 4 A I've seen 40,000 labels. 5 Q Okay.
_
6 A You have to show me the label.
7 Q My question to you is: You can't tell us, as
8 you sit here today, what was on those warning labels,
9 can you?
10 A I can tell that you when we put -- that we put
11 a separate label on connected with it being an -- a
12 chlorinated hydrocarbon -- a chlorinated hydro- --
13 hydrocarbon.
14 Q My -- that wasn't my question.
15 My question to you was whether the label even
16 said that it was, as this book says, chlorinated
17 diphenyl.
18 MR. JONES: I object to the question
19 until you identify a particular label.
20 A I don't know.
21 BY MR. LACEY:
22 Q You do not know.
23 A Show me --
24 Q Is that correct?
25 A You'll have to show me the label. -
NELL MC CALLUM & ASSOCIATES, INC,
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1 Q Fi ne . 2 A And you'd have to show me the year the label 3 appeare d. 4 Q Okay. Well, in fact, the labels that Monsanto 5 put out didn't even have year dates on them,-did they? 6 A I haven't the foggiest notion. I didn't make 7 those labels. 8 Q Okay. 9 Now, you indicated that it was in cases of 10 gross misuse that Monsanto would stop selling PCB 11 products to customers who were misusing them. Is that 12 correct ? 13 A Uh-huh. Yes, that's what I said. 14 Q And you can only recall one incident of gross 15 misuse. Is that correct? 16 A Yes, that's correct. 17 Q And that was a case where -- 18 A Wait, wait, wait. we discussed where we'd 19 refused its im- -- initial use for the same reason, and 20 the -- in that case -- I think we discussed two cases. 21 Q Well, there wasn't any misuse. They never got 22 an ounce of it, did they? 23 A They did in -- for their testwork,.yes. 24 Q I see.
25 A That's what we went to Newark,.Ohio, Tor.
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1 Q I see. So you -- you can think of three cases
2 where you refused to sell or stopped selling --
3 A That's correct.
4 Q -- for gross misuse?
"
5 MR. JONES: Well, that -is..a-
6 mischaracterization.
7 THE WITNESS: That is a
8 mischaracterization. It actually is.
9 BY MR. LACEY:
10 Q I see. Well, what's the mischaracterization?
11 A Well, in the first place, two companies that
12 were using -- had set up to use it as a test run asked
13 us -- and there were many companies, I'm sure, that
14 did -- that -- that did the -- that used it that were
15 perfectly legitimate and -- and it was agreed to.
16 In these cases -- it happened to be a case
17 where there was excessive exposure to fumes from it.
18 And we said, "No, we don't think it's a good idea, and
19 we would refuse to sell it to you on this basis."
20 The other case that we talked about here was a
21 case where a -- a company, obviously disregarding its
22 use and its -- and its intended use as a hydraulic
23 fluid, a high-pressure hydraulic fluid,.used it as an
24 open-faced -- open-faced brass-founding affair. In
25 open-faced molds, they poured brass from a reverberatory
NELL MC CALLUM & ASSOCIATES, INC.
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1 89
1 furnace on a -- a mold that had been sprayed with one of
2 our Pydrauls.
3 Q Now, let me understand what the misuse was.
4
They put PCB-containing materials on a mold
-
5 they then put brass into --
.
6 A Hot molten brass.
7 Q -- and that hot material would cause this stuff
8 to steam up into the air. Correct?
9 A It created an -- an -- an -- an evolution of
10 gas; but it also created an evolution of very acid gas,
11 which released the mold. And it was a good mold release
12 agent. I'm not going to argue with that.
13 Q Okay. But the use of a PCB-containing material
14 as a mold release agent would be a gross misuse.
15 Correct?
16 A Oh, indeed it was.
17 Q And that is something that it would be the
18 obligation of Monsanto to stop selling the PCB material
19 if it was being used for that purpose?
20 A That's -
21 MR. CRAWFORD: Only talk about what
22 you know.
23 MR. JONES: I ob- -- I object to that
24 question as calling for a legal
25 concl us i on.
NELL MC CALLUM & ASSOCIATES, INC.
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1 90
1 You can testify to the facts.
2 BY MR. LACEY:
3 Q Well, let me -- let me ask: Is that -- is
4 using a PCB-containing material to assist in mold
'
5 release the type of gross misuse that you th.i.n-k- should
6 have caused Monsanto to stop selling the PCB material -
7 A Yes.
8 Q -- to thatcustomer?
9 A Yes.
10 Q Okay. Would it be gross misuse to use a
11 PCB-containing material if it was used in such a way
12 that hot metal could come into contact with it and
13 create these clouds of vapor and gas that you talked
14 about ?
15 A That -- that would be -
16 MR. JONES: Object to the question,
17 because it's not specific enough.
18 A -- conjecture, I think, in my case. If -- if
19 you have a specific incident -- it --
20 BY MR. LACEY:
21 Q Let me ask a question, a very specific --
22 assume that Monsanto learned that General Motors was
23 using a hydraulic fluid that contained PCBs in such a
24 way that in its foundries molten metal was being dropped
25 into pools of the fluid, and vapors were coming" up from
NELL MC CALLUM & ASSOCIATES, INC.
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1 it where the workmen were working. Would that be a 2 gross misuse? 3 MR. JONES: Same objection. It's not 4 specific. 5 A I would -- I don't -- your -- your .po-i-nt is 6 well made. I -- it -- it might be a gross misuse,.but 7 you'd have to know a hell of a lot more circumstances . 8 than that. 9 BY MR. LACEY: 10 Q It -- it wouldn't be sufficient just to say, 11 "I've heard that," and not investigate it further; that 12 would require further investigation? 13 A That's correct. 14 Q Okay. And if -- if that were the circumstance 15 after you investigated, then it would warrant cutting 16 off the sales? 17 A It would warrant this -- the -- the -- the - 18 the position that we could take in connection with it, 19 yes. 20 Q Okay. 21 Now, you testified that in 35 years you never 22 saw a case where anybody was injured from exposure to 23 PCB-containing materials in the workplace. Correct? 24 A That is correct. 25 Q And you also never went into, anybody'"^
NELL MC CALLUM & ASSOCIATES, INC.
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1 92
1 workplace, other than a Monsanto work pi ace, to see how
2 it was being used or if people were being injured.
3 Isn't that correct?
4 A That is correct. 5 Q Okay. So while you never saw it, with" the
6 exception of Monsanto, you also never looked for it?
7 A I neverheard about it, either --
8 Q Okay.
-
9 A -- either;any other of thepeople who did
10 handle it.
11 Q I see.
12 Now, you mentioned that you really couldn't go
13 into competitors' plants. Was Westinghouse a competitor
14 in the sale of PCB products with Monsanto?
15 A I didn't go into Westinghouse plant, because
16 they did not invite me into their plant. And we just
17 dealt with -- with their industrial hygiene group and
18 their medical group; Dr. Kelly, through the years, over
19 the phone.
20 Q My question is: They weren't a competitor with
21 you, were they?
22 A I haven't the vaguest notion of their spread of
23 materials, whether it --
24 Q I see. 25 A -- competed with any of our s'or not.
NELL MC CALLUM & ASSOCIATES, INC.
TOWOLDMONOQ49302
1 93 1 Q I see. Weellll,, the -- the reason you didn't go 2 into plants like Westinghouse and TVA and Ford and see 3 how they were using your PCS products isn't because you 4 requested the opportunity and they said,."No, I'm sorry, 5 you're one of our competitors, t so we won't- let" you in," 6 is it? 7 A I haven't the vaguest notion. 8 Q You never requested the right to go into a 9 Westinghouse facility and see how they were using PCBs, 10 did you? 11 A No, and they never requested the right to come 12 in our place that I know of, to look at -- at our whole 13 company spread, either. 14 Q You never requested the right to go into a TVA 15 facility and look at how they were using your PCB 16 materials, did you? 17 A No. 18 Q And you never requested the right to go into a 19 Ford facility and see how they were using your PCB - 20 A That's right. 21 Q -- materials,.did you? 22 A But we had no reason to believe that the 23 discussion with their hygienists and toxicologists and 24 medical people was incorrect when they explained to us 25 the methods that were used in handling it.
____________________________________________________________ 1 ^
NELL MC CALLUM & ASSOCIATES, INC.
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1 Q Well, if there was something that brought to
2 your attention that they did have a problem, would it
3 then be appropriate for you to seek permission to go
4 into their plants and see how the product was being
5 used ?
..... --
6 A No. Unless we had an awful lot of illnesses
7 and sicknesses, I wouldn't have known about it in any
8 ca se .
9 Q Well, if you knew about it, however,
10 Monsanto --
11 A We would try to investigate it through --
12 through the salespeople that handled that particular
13 sales part of the contract, yes.
14 Q I see.
15 When were Material safety Data Sheets first
16 used at Monsanto?
17 A Chemical Safety Data Sheets and those things
18 were out probably in the late '40's.
19 Q And were those things --
20 A Well, wait. We contributed to -- to -- to
21 the -- the sheets put out by the Manufacturing Chemists
22 Association, to the -- the American Petroleum Institute,
23 to the National Safety Council, to the American
24 Industrial Hygiene Association, and any other of those
25 of -- of sheets that were, in our opinion, of
NELL MC CALLUM & ASSOCIATES, INC.
TOWOLDMONOQ49304
1 95 1 professional use or value. Now, I don't recall that we 2 ever did one on PCBs, except the AIHA one; but I could 3 be wrong. 4 In addition to that, we made 155 of our own 5 that were Monsanto data sheets that we gave tcrcustomers 6 and to our plants, and they covered a whole host of 7 Monsanto materials. And it is possible that one of 8 those were there. They have long since been 9 discontinued. 10 Q Okay. The only sheets that you can 11 specifically recall the Medical Department preparing on 12 PCB materials, as opposed to other materials, is this 13 Hygienic Guide series? 14 A Yes, sir. 15 Q And that's the document that's numbered 24940 16 through 24943. Is that correct? 17 A That's tr ue. 1 8 Q Now, this Hygienic Guide serieswas actually 19 prepared by you and Elmer Wheeler. Correct? 20 A We prepared it -- a good deal of it, yes. 21 Q Who else prepared it? 22 A Well, we had -- they had a committee that did 23 the firming up of the information that picked up the 24 document here and -- and most of the -- of the -- the -- 25 the information that they looked up the references. And
NELL MC CALLUM & ASSOCIATES, INC.
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1
we did the majority of the writing in the wording.
''
2 Q You provided the substance to it -
3 A Tha t's tr ue .
4 Q -- and they put it in a form --
1
5 A Tha t i s ri ght.
.....
6 Q -- consistent with their own documents?
7 A And we certainly provided that data, yes.
8 Q So the substance of this Hygienic Guide series
9 on chiorodiphenyls came from Monsanto?
10 A Yes.
11 Q Okay. Do you know -- strike that.
12 You've testified that you think that there were
13 many, many, many other companies that you corresponded
14 with about the safe handling of PCBs, other than the
15 ones shown to you by your lawyer in this group of one,
16 two, three, four, five, six, seven, eight -- eight
17 letters and one memo covering from 1961 through 1977.
18 Is that correct?
19 MR. JONES: I object to the question.
20 Mr. Garrett is not represented by me.
21 MR. LACEY: I see.
22 MR. JONES : He is not my lawyer
23 MR. LACEY: I see.
24 MR. J ON ES: -- or I am not his
25 lawy er.
NELL MC CALLUM & ASSOCIATES, INC.
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1 A In -- in -- it has been my recollection that
2 there were many more memos and telephone conversations,
3 with subsequent passage of information, than those.
4 BY MR. LACEY:
'' "
5 Q Regarding PCBs?
6 A Regarding PCBs.
7 Q And do you have any information about why it is
8 that the Monsanto lawyer only showed you these
9 do cument s ?
10 A Monsanto has a -- a -- had in force and still
11 does, I understand, a Document Retention Program that
12 would have taken those documents out and destroyed them.
13 Q So we have --
14 A Yes.
15 Q -- we have a few that are left over here by -
16 A That's correct.
17 Q -- by good luck?
18 A That is correct.
19 Q I see.
20 Do you recall, in the correspondence back and
21 forth with the Ford Motor Company regarding Pydraul 312,
22 that they requested information on what chemicals were
23 in the product?
24 A No. What they did was -- and that's not just
25 Ford Motor Company, because many, many companies did
NELL MC CALLUM & ASSOCIATES, INC.
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1 98
1 the scientific -- I recall some of the companies that
2 we did the full ones on, such companies as lumber
3 companies and so forth. And on all of the products that
4 they particularly purchased from us, their Purchasing
5
Departments generally sent them to us.
'
6 In the case of Ford,, they sent this one to us..
7 In -- in fact, this guy Crushaw, Creshaw,.sent it to -
8 Elmer. And we filled it out on their form. This is
9 their form.
10 Q Yes. My -
11 A We -- we filled them out on a lot of different
12 f orms.
13 Q My question to you is: Do you recall that in
14 the sequence of correspondence, Ford ultimately asked
15 Monsanto to tell them what chemicals were in the Pydraul
16 product ?
17 A I don't recall that. It's possible.
18 Q And the practice of Monsanto was not to tell
1 9 people what chemicals were in the product. Isn't that
20 correct ?
21 A No, not necessarily. It is correct in the case
22 where we had contractual obligations to someone else who
23 owned the formulation patent.
24 Q Well, let me show you one of the letters that
25 Mr. Jones showed you earlier, Letter No. -- or Document
NELL MC CALLUM & ASSOCIATES, INC.
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1 No. 253 49, dated November 14th, 1 963 , from you to an * "
2 industrial hygienist at the TVA, relating to Pydraul 625
3 (tendering) .
4
And they obviously asked for what the
.V
5 composition of that fluid was, and you refused_to
6 divulge it. Correct?
7 A I did not refuse to divulge it. I was told not
8 to -- to divulge it, because it -- we had contractual
9 obligations with the owner of the patent, Which was not
10 Monsanto.
11 Q The point is: You did not supply the
12 information --
13 A No.
14 Q -- that they requested?
15 A The data that we supplied them was on Pydraul
16 625; not on the Aroclor content, but the finished
17 full --
1 8 Q And what they asked for was, "Tell us what
19 chemicals are in that product."
20 A That's true.
21 Q And you tell them, "We cannot tell you."
22 A That is correct.
23 Q Okay. Now, the correspondence I see here with
24 the TVA and what your lawyer has shown you all relates
25 to --
NELL MC CALLUM & ASSOCIATES, INC.
TOWOLDMONOQ49309
200 1 MR. JONES: Again, Mr. Lacey, I must 2 object. I do not represent Mr. Garrett. 3 MR. LACEY: I see. 4 BY MR. LACEY: 5 Q The correspondence that the Monsanto-l"awy er has 6 shown you with the TVA all relates to this fluid, 7 Pydraul 625, does it not (tendering)? 8 A Tha t's tr ue -9 Q Did you -- 10 A -- to the best of my knowledge. Is that 11 another one? No, that's different. 12 Okay. Go ahead. 13 Q Do you have any recollection of having provided 14 any information to the TVA on PCB-containing dielectric 15 fluids, as opposed to hydraulic fluids? 16 A I don't recall. We provided so damn much 17 information, I really don't recall. 18 Q Well, Pydraul 625 was not a dielectric fluid, 19 was it? 20 A No. It -- if it -- if it had the -- the 21 Pydraul name, it was a hydraulic fluid. 22 Q Okay. And the only correspondence that I see 23 here that dealt with Westinghouse was the letter of 24 November 1st, 1967, from you to Mr. Speicher, which sent 25 him a copy of your Inerteen label (tendering). Is that
NELL MC CALLUM & ASSOCIATES, INC.
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1 correct?
'
2 A His label, I suspect. Inerteen was not a
3 Monsanto patent, trademark.
4 Q Well, now, Monsanto made Inerteen, didn't they?
5 A Monsanto made the -- the -- the -- thg -- the
6 PCB that went into it.
7 Q Well, Monsanto actually made the Inerteen,
8 didn't it?
9 MR. JONES: I object to that.
10 Tha t's --
11 A I don't know.
12 MR. JONES: -- a mischaracterizati on.
13 BY MR. LACEY:
14 Q I see. Well, look at the first sentence. It
15 says, "I am sending you a copy of our Inerteen label,
16 which you requested in your letter of October 17th."
17 There's no question but what the Inerteen label
18 that's referred to there is Monsanto's Inerteen label?
19 A We probably blended the product for them. But
20 it's their label; it's their trademark.
21 Q You mean the label would have -
22 A They provided us with the labels. We put the
23 labels on the drums. If we thought the label needed
24 correcting,.we would tell them.
25 I don't recall anything about this, r>er what
NELL MC CALLUM & ASSOCIATES, INC.
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1 they're talking about.
2 Q But that's the only correspondence that you
3 have herewith anybody at Westinghouse about a product
4 that involved PCBs, is it not?
"
5 A It's in the correspondence I see in-t-his pile,
6 yes.
7 Q Yes. And you don't recall sending anything
8 else besides one of Monsanto's Inerteen labels to
9 Westinghouse to be -
10 MR. JONES: Objection. That's a --
11 A I don't believe -
12 MR. JONES: Objection. That's a
13 mischaracterization of the testimony
14 again.
15 MR. LACEY: I see.
16 BY MR. LACEY:
17 Q Do you recall sending any document at the
18 request of Monsanto, other than the Inerteen label
19 referred to in the letter of November 1st, 1967,
20 Document 16391?
21 MR. JONES: Objection to the question
22 as being vague.
23 What other information are you
24 referring to?
25 MR. LACEY: Any. .
NELL MC CALLUM & ASSOCIATES, INC.
TOWOLDMONOQ49312
2 03
1 BY MR. LACEY:
2 Q I'm trying to find out if you sent any'
3 inf ormation.
4 A Certainly.
5 Q What?
. .--
6 A We sent all the toxicology data- that was
7 available to Mr. Speicher.
.
8 Q Where are the transmittal letters sending that?
9 A I haven't the foggiest.
10 Q I see. But you have a specific recollection of
11 having done that?
-
12 A I've -- I've known Wilbur for years.
13 Q That's not my question.
14 A He would never have let us get by without
15 providing him with every nickel's worth of information
16 we had.
17 Q Okay. Sohe would haverequested that, and
18 then you would have responded by --
19 A That's correct.
20 Q -- sending him that?
21 A That is correct.
22 Q What would that toxicological information have
23 consisted of?
24 A Copies of -- of -- of published documents and
25 copies of our own summaries.
.
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20 4 1 MR. CRAWFORD: You've got two 2 minutes. 3 MR. LACEY: Pa ss the wit ne s s. 4 MR. JONES : That ' s it 5 6 (Di :scussion off the r ecor d) 7 8 THE VIDEOTECHNICIAN: This conclude s 9 the de po isition of Mr. Jack T. Ga rrett, and 10 th e time is 7: 56 pm 11 MR. LACEY: And ev ery one ha s missed12 their plane. 13 14 (The deposition was concluded 15 at 7:56 p.m.) 16 17 18 19 20 21 22 23 24 25
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205
1 THE STATE OF___\
2
3 COUNTY OF --.......................... *
4
5 I, JACK T. GARRETT, hereby certify--that I
6 have read the foregoing transcript of my testimony given
7 in the foregoing numbered and styled case, and that same
8 is true and correct to the best of my knowledge and
9 belief.
10 I further certify that any and all
11 corrections have been made on a separate page and
12 attached hereto.
13
SIGNED on this the______day of -
,
14 19 87:.
15
16 JACK T. GARRETT
17
18 SWORN TO AND SUBSCRIBED BEFORE ME on this
19 the........... day of---............1987.
20
21
22 Notary Public
23
24
25
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206
1 THE STATE OF TEXAS *
2 COUNTY OF. HARRIS *
3
4 I, LINDA C. BAKER, a Certified Shorthand * 5 Reporter, hereby certify that the foregoing testimony
6 was given before me after the Witness had been first 7 duly sworn.
8 I further certify that I prepared this
9 transcript and that the foregoing 205 pages constitute a
10 complete and correct copy of the transcript of the
11 proceedings, and that the original is being given to the
12 attorney taking same, to be filed by him if necessary.
13 I further certify that I am neither attorney
14 for, related to, nor employed by any of the parties to
15 the lawsuit in which this deposition was taken; further,
16 I am neither related to nor employed by any attorney of
17 record in this cause, nor do I have a financial interest
18 in the matter.
19 GIVEN UNDER MY HAND AND SEAL OF OFFICE in
20
Houston, Texas, on this the.
.day of June, 1987
21
22
23
Date of Expiration: December 31, 1988
24 Address: 2900 Smith Street, Suite 104
Houston, Texas 77006
25
Phone:
713/523-3767
'
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LAWYER'S NOTES
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