Document dnKVLwbMDvyOEreeYaGexe0Eq
2. Overly Broad 3. Lack of Particularity Without waiving these objections, Abex states that it is without sufficient knowledge as to when it first became aware of any threshold limit values for asbestos. Furthermore, as Abex did r. }t have control over others' jobsites where its products were u.->ed, no testing in this regard would have been performed.
78.
Are you aware of articles authored by W. C.
Dresden, in Public Health Bulletin No. 241 of 1938, establishing
threshold limit values for airborne asbestos fibers? If so,
when did you become aware?
ANSWER: Abex objects to this Interrogatory on the following grounds:
1. Burden 2. Overly Broad Without waiving these objections, Abex states that it is not av.are of said articles.
79.
Please state whether or not you ever obtained
any knowledge concerning the likelihood of asbestos inhalation
being hazardous to health, and if so, state when you first
become aware of the hazardous potential of asbestos and asbestos
containing products. State how the defendant first obtained
this knowledge and became so aware of said hazards and from what
source this information was obtained.
ANSWER:
Abex objects to this Interrogatory on the
following grounds:
1. Burden
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