Document dar40wBw4baJnggYvjOX4KxOQ
FILE NAME DuPont DUP DATE 1973 Apr 4
DOC DUP192
DOCUMENT DESCRIPTION Legal - DuPont answers to interrogatories relating information about the product tested Line Preparakote
west * but
Pe iad
Pen
we fry?
E. I. BU PONT DE NEMOURS & COMPANY
D^ ASDIA
Fabrict & Finance OfPARTHENT OfPARTHENT Le
TS,
Manhall D Laboratory
April 4 1973
AER E. E. SWAIN R.
2373
nena
,
WUMINGTON
.
teen
.
LINE PREPARAKPOREPARATKOT ES
SANDING DUST
fi
Attached is a summary of the experiments I performed to determine the amo
bat
taermh of airborne asbestos in sanding dust from Line Praperatores
pte
eee
2 The level in general is within 1976 OSHA standards for asbestes fibers ct
longer than 5 microns time weighted average Unanswered still are
sete
* The amount of encapsulated esbastes in the respirable dust Senate 28
# The effect of the encapsulated asbestos on the lung tissue
* do not know how to determine the amount encapsulated - one guess - would put the max^>m
at the proportion of sale and esbestos in the point salids.However salids.However salids.However the amount is going to
Tess than that since we do not count fibers less than 5 microns in fength and a significant part of the respirable durt would be less than 5 micront la diameter
If we can be of further help plooie contact me .
TJN 4/4/73
ATTACH
PROCESS CHEMISTRY SECTION
MANUFACTURING SUPPORT GROUP
ae ) tig
EER
ited .
THOMAS J. NELSON
4 YANG
yaa
. Free ^ FORAMBET
QUF 00468
116988
rate
a
a
NeOc
wa
SUMMARY SANDING SAMPLES
( - Token ot refinish training conter while operator sanding fandar
Asbester - 2.3 Fibers 7 Aber field
12 Yoken while sanding panels laying flat on bench top Filter was 6 inches
to the side and 2 inches up bench 80 of dust particles flowed below
Asbestes Fibers 2 Fiben fields
.
13 - Token while sanding on bench top Filter 3-4 inches above sender Asbestos - 3.2 Fibers 3 fiber 50 fields
NOTE 1976 OSHA limit is 2 fibers in sample F1 - 6 hours sending at
His level would meet the 2 fiber limit and 43 - Shoom Semple I was probably higher in dust than operator would receive since the somple we close to coures In both eases - sending for longer than 5 hours would be unlikely in a refinish shop
oe
faete bib
aah
ete
Ateeee
Hahn
eak pon
oe
yes
tek wet
But A0465
116989
EC)
ERTS Hey
te s
ena
ow
Md
it
enr Pacvmeins
e r
re)
e
e
oe
men
ON fee
aT
108
aSrmoen
pm
1 GLYNN & FINLEY LIP ANDREW T. MORTL Bar No. 177876
2 RUTA PASKEVI~ IUSBas No. 127784 One Walmul Crock Center
3 100 Pringle Avenne Suite 500
Walnut Creek CA 94596 4 Telephone 925 210-2800
Facsimile 925 945-1975
5
Attorney's for defendant B. I. du Pont de Nemours and Company
7
; .
8
SUPERIOR COURT OF THE STATE OF CALIFORNIA
2010
2:10
9
IN AND FOR THE CITY AND COUNTY OF SAN FRANCISCO
10
13
1313
IN RE COMPLEX ASBESTOS
LITIGATION
14
1015
16 17
18
ae Case No. 828684
ase
yee E.I. DU PONT DE NEMOURS AND
ay COMPANY'COMPASNY'S SUPPLEMENTAL
Natal RESTONSES TO STANDARD ane! INTERROGATORIES PURSUANT
Spee? TO GENERAL ORDER 122
eee weet
Neer
PREFACE ..
General Order 129 provides that responses are to be made without objection
Nhe
except for the assertion of a claim of privilege This shall not be construed as a waiver of any
tee
objection which would be applicable to any interrogatory We reserve the right to make any and
ee
ee
all such objections at trial or in any other proceeding DuPont specifically objects to the oxtont ene
the interrogatories are vague and ambiguous call for information protected the attorney-
one
client product trade secret privilege E. 1. Du Pont de Nemours and Company responds
to this discovery with respect to itself and not with respect to any entities which may be legally
separate and distinct The following responses are being provided in connection with.a meet and
confer agreement with plaintiffs counsel to provide information in response to Interrogatory No
31 regarding automotive refinishing products with respect to the 1952-1984 time period
1
DUPONT'S SUPPLEMENTAL RESPONSES TO GENERAL ORDER 129 INTERROGATORIEINTERSOGATORIES
.....
ans
1 Defendant's review of its files and records is continuing as is discovery Defendant reserves the
2 right but undertakes no duty to make changes in its responses or to present new and additional
3 information at trial or any other proceeding Notwithstanding and without waiving any
4 objections defendant responds
Interrogatory No. 31 .
5
If your answer to any subpart of Interrogatory No. 31 regarding ASBESTOS
7 CONTAINING PRODUCTS is in the affirmative state
Lac)
A. The trade brand name and generic name of each such ASBESTOS
A=)
CONTAINING PRODUCT MARKETED in any form or quantity betwoch 1930
.
10
and 1985
;
The date cach such CONTAINING PRODUCT was first placed on the market including the date each such CONTAINING
PRODUCT was first MARKETED
12 1 On anexperimental basis
ma
weer
2
On a tost basin or
pa
Aatengt
3
For sale
O
The date each such CONTAINING PRODUCT
:
2 2 2 1 Coased to be produced or
2
Was recalled from the market if ever
A detailed description of the chemical composition of each such ASBESTOS
eo
CONTAINING PRODUCT including the type and grade of asbestos and re
menti asbestos fiber contained in each such product and the quantitative percentage of ye
asbestos or asbestos fiber in each such product and all nonasbestos.components
epee
doe
2 2 CONTAINING ofthe
PRODUCT and if the chemical composition
changed over time the inclusive dates each formulation
R A description of the physical appearance and nature of each sucht ASBESTOS-
CONTAINING PRODUCT including any color coding distinctive marking
2
and logo either on the product or on the packaging
-2 DUPONT'S SUPPLEMENTAL RESPONSES TO GENERAL ORBERT 29 INTERROGATORIES INTERROGATORIES
Oe
F. A detailed description of the intended use of each such ASBESTOS-
2
CONTAINING PRODUCT including any temporature limits for each such use
3
Whether any such CONTAINING PRODUCT was on the U.S.
Government's Qualified Qualified Products List and ifso the inclusive dates it was an
S
such fist '
6
The name and address of the supplier of the RAW ASBESTOS used in each such
7
product and the time period of such supply
8
h Whether any of THIS DEFENDANT's RAW ASBESTOS OR ASBESTOS-
9
CONTAINING PRODUCTS bavo at any time been sold shipped or otherwise
10
distributed to any COMPANY including power company or utility
1011
governmental agency or entity shipyard distributor refinery contractor supplier
manufactures PREMISE owner or occupant ship owner or other PREMISE or
et
.
site in the GROGRAPHIC AREA If so stute
.
The 1
names of each such COMPANY governmental agency ar entity
ewr supplier ee
15
shipyard distributor
manufhoturor refinery contractor .
1216
PREMISE owner or occupant ship owner PREMISE or site
2
The inclusive dates of each such sale shipment distribution use or
19 Installation and the amount volume and the trade or brand of each
19
such CONTAINING PRODUCT sold
3
Whether you have any records indicating any such sule shipment
272272
distribution uso or installation and so the name address and job
classification of each person who currently has possession of such records
Either 1 attach all DOCUMENTS evidencing the Information sought in this
Interrogatory and its subparts to your answers to these Interrogatories or 2 attach
2713
disks containing such data or 3 describe sach DOCUMENTS with sufficient
particularity that they may be made the subject of a request for production of
a
Ieee
27
documents
epee
28 Response to Interrogatory No. 31 ONI
Ren -3-
-3-
Sere
DUPONT'S SUPPLEMENTAL RESPONSES TO GENERAL ORDER 129 INTERROGATORIES
2
omy meee ome ce ee weet
sates
me
4
eter
wemerane
Aner
6
1
Defendant incorporates herein the abovs Preface Without waiving any objections based
2 on cument investigation regarding automotive refinish products from 1952 to 1984 and
3 responding as to all of DuPont
A
A
DaFont's investigation to date indicates that its automotive refinish products did
S
not contain asbestos as an ingredient Available documents DUP 0903175- 0903175-
6
0903180 and DUP 0903196 ) indicate however that in April 1973 when
7
Sanded the primor product known as Lino Proparakote released dust which
g
may have contained a trace amount of asbestos fiber present as a naturally
occurring contaminant of the talc contained in the product DuPont has not
10
located any information that its Preparakote primer product released asbestos
11
fiber at any other time in its existence or in any other formulation Discovery is
continuing
13
The Preparakoto line was first markotor in 1938. DuPont ourrently has no
14
information regarding when 65 Inc Preparakole was first marketed Discovery
$
is continuing
16
DuPont currently has no information regarding the formulation of the Line
17
Preparakote that was tested in April 1973 the results of which are described in
18
the documents referenced subpart A above Preparakote primers continued
982
be manufactured throughout the time period at issue Discovery is continuing
982
With respect to the Preparakote product tested and referenced in subpart A
982
above DuPont currently has not located any information of the type requested by
this subparDt other than information that is provided by the referenced
2
documenTthse Preparakote line was generally a synthetic type line of primer-
2
surfacers Discovery is continuing
2858
Preparakote was generally a synthetic type line of surfacer available in
2858
quart and gallon cans bearing the DuPont name and trademark Line
2858
Preparakote may also have been sold in dip tanks For at least some portion of
the tunc and for at least some Preparakote products the product was red
DUPONT'S SUPPLEMENTAL RESPONSES TO GENERAL ORDER 129 INTERROGATORIES
ney meee
Ce
beatae
a
en hg ata
Oe
Tas
ee
tod
et, er ee
ER a ee
Nhe
tneemt
cet e rms
rete
en
colored DuPont does not currently have information as to whether
2
this was true regarding Line Propurakote and whether this was true during the
3
entire relevant period DuPont currently has no other information reganding the
4
physical appearance of this product during the relevant time period Discovery is
,
wn
continuing
6
The Preparafcote line was generally a synthetic type line of surfacer for
7
use under Lucite and Dulux finishes for finishing and refinishing automobiles
and commercial vehicles DuPont has not been able to information
regarding temperature limits for this line Discovery is continuing
s
10
To DuPont's knowledge Line Proparakote was not on U.S Government's
1110
Qualified Products List
perc
12
Du outdid not purchase RAW ASBBSTOfoSr use in Line Preparakote und
armen
---- 1
15
15
therefore this interrogatory is not applicable DuPont does not have information responsive to this interogatory regarding 65Line Preparakote during 1973 or during the relevant time period DuPont DuPont does not have information responsive to this interrogatory regarding the Preparakote
17
line generally during the relevant tune period Line Preparakote was
98218
presumably sold shipped or otherwise distributed as part of DuPont's
automotive refinishing products to various distributors but DuPont does not have
20
any sales records from the relevant time period
Documents regarding Line Preparakote have been produced as part of
982 DuPont's corporate collection of documents as DUP 0903179-0903180 0903179-0903180 4/4/73
memo from Thomas Nelson to E.E. Swain Jr. and DUP 0903196 0903196 momo fami
3 3
3 IIII
1111
E.E. Swain to J.A. Zapp Jr. Discovery is continuing
1
272828 IIII
5DUPONT'S SUPPLEMENTAL RESPONSES TO GENRIVAL ORDER 129 INTERROGATORIES
Dated 6 August , 2010
GLYNN & FINLEY LLF
ANDREW T. MORTL RUTA PASKEVICIUS
JON ELDREDGE
One Walnut Creek Center 100 Pringlo Avenus Suite 500
Walnut Creek CA 94596
By Dicta Parkevicius
Attomeys for defendant B. 1. du Pont de Nemours and Company
seamn
me
ete nite
ee
memad
wet
4
aromigecunt
F
- 2 2
2 9
sem
27
ey
paner
28
2
-6-
DUPONT'S DUPONT'S SUPPLERENTAL RESPONSES TO GENER^ LORDEN ORDEN 129 INTRAMIOGATOHUES INTRAMIOGATOHUES
daane,
8
e tema
+
tee
Menaime nts
GLYNN & FINLEY ILF
ANDREW T. MORTL Bar No. 177876 RUTA PASKEVICIUS Bar No. 127784
One Walnut Creek Center
100 Pringle Avonua Suite 500 Walnut Creek CA 94596 Telephone 915 210-2800 Facsimile 925 945-1975
Attorneys for defendant E. Pont de Nemomus and Company
SUPERIOR COURT THE STATE OF CALIFORNIA
IN AND FOR THE CITY AND COUNTY OF SAN FRANCISCO
IN RE COMPLEX ASBESTOS LITIGATION
rar?
EL DUPONT DUPONT DE NEMOURS
Mel
COMPANY'S SUPPLEMENTAL
Neral
RESPONSES TO STANDARD
Sener INTERROGATORIES PURSUANT TO
Nene
GENERAL
GENERAL ORDER 119
.
Sener!
el
Nae
VERIFICATION
STATE OF DELAWARE
)
.
>
COUNTY OF NEW CASTLE >
BS:
In Downw Downw McAving, heroby cortify the following
1 am Assistant Scorotary ofB. L. du Pont de Nematus and Company a corporation
2 am authorized to exconte this verification on behalf of B I. du Pont de Nemours and Company +
3 that the facts stated in the foregoing Defendant B. I du Pont de Nemours and Company's Supplemental Responses to Standard Interrogatories Pursuant to General Order 129 have been assembled by muthorized employees and the altorneys of I du Pont de Nemours and Company
|
nevis
we
aeer
a
4 that ocrtain of the matters stated therein are not of my personal knowledge and
5 that I am informeandd verify that the facts stated therein are true and correct to the
best of my information and belief
;
I declare under penalty of perjury that the foregoing le trus and corect
E. DU PONT DE NEMOURS AND COMPANY
Sworn and subscribed to before me
August this 6th day of
2010
&
Petarnm
Notary Publio in and for the State ofDelaware
MARIE S. MANUEL NOTARY PUBLIC STATE OF DELAWARE My commission expiras Feb. 7 2012
ow
oe
wer
ERAS
oon
Pety
12
Ee nme Been
wae
op
em
ot
Retcee
NR
1
om.
ee
erie
Pe tM OAs ememtene Reyer ones teen end F
PROOF OF SERVICEBYDonketELECTRONICELECTRONIC TRANSMISSION
2
3
T Beverly Carter the widarsigned declare
&
.
um and was at the time of service of the documents herein referred to
5 over the age of 18 years and not a party to the action
2
am amployed in the County of Contra Costa California
7
3 My business addressis One Walnut Creek Center 100 Pringle Avenue
6 Suite 500 Walaut Creek CA 94596
4
On the date executed below J olcatronically served the document vis
10 LexisNexis File & Serve described us
BL
DE
DUPONTDUPONT AND COMPANY'S SUPPLEMENTASUIPLEMENTAI
NEMOURS COMPANY'S
KESPONSES
INTERROGATORIESINTERROGATORIESPURSUANT TO GENERALORORDDEERR 129
13 on the recipients dosignated on the Transaction Receipt located on the LexisNexis & FileServe
14 website
I declare under penalty of perjury pursuant the laws of the State of California
15 that the foregoing is true and correct Executed on this 6th day of August 2010 at Walnut
17 Creek California |
20 Kruurly
fi
Carter
21
Hani
22
at -
PROOF OF SERVICE BY ELECTRONIC TRANSMISSION