Document dYE6don6qdO1j5VEz7a2R9drR

'V ' IN THE CIRCUIT COURT OF JACKSON COUNTY MIX2 MOCRB, ATTORNBY GENERAL g.&&aX rel, STATS 07 MISSISSIPPI VERSUS SEP 17 1990 PLAINTIFF NO. 89-5138(2) DEFENDANTS JOtW.*UfTm.NLCU r ox. PLAINTIFF'S SUPPLEMENTAL ANSWERS TO FIRST SET 07 INTB&wSgATCftXBa EfcOPOUNokb BY Ttgj EsggfrS&ffT MWAOPOLITAN LIFS IMSORANCOMPANY Comes now the Plaintiff, by and through bis undersigned counsel of record, and supplements his answer to Interrogatory No. l of the Defendant, Metropolitan Life Insurance Company's First Sat of Interrogatories, as follows: 1. Identify each person whom you expect to call as an expert witness or to give opinion testimony at the trial of this case, and for each such witness, state: (a) the subject matter about which you expact the witnase to testify; (b) the subatancs of the facts and opinions to which such witness is expected to testify; and (c) a summary of the grounds for each such opinion. Supplemental Answer: Phillip Snterllne, Ph.D. University of Pttsburgh 130 DeSoto Street A-440 Crabtree Hall Pittsburgh, PA 15261 Dr. Phillip Enterline is a bio-statistician who has written extensively on the epidemiologic aspects of asbestos disease and historical aspects of medical knowledge concerning sabeatos disease. Dr. Enterline is expected to testify concerning his research and article entitled "Asbestos and Cancer, The First 30 Tears" which article was prepared by Dr. Enterline and funded by the Asbestos Information Association in approximately 1954. Respectfully submitted, MIKE MOORS, ATTORNEY GENERAL, ax rel, SIXTH OF MISSISSIPPI. Plaintiff the Plaintiff