Document dnQ89wzB680RBG0DBmnL6gQaG

PLAINTIFF'S EXHIBIT ALL ASBESTOS-RELATED PERSONAL INJURY OR DEATH CASES FILED OR TO BE FILED IN DALLAS COUNTY, TEXAS IN THE DISTRICT COURTS OF DALLAS COUNTY, TEXAS DEFENDANT AMERICAN STANDARD INC.'S RESPONSES TO PLAINTIFFS' MASTER INTERROGATORIES AND REQUESTS FOR PRODUCTION Defendant American Standard Inc.'s ("American Standard," "ASI," or "this Defendant"), for its Responses to Plaintiffs' Master Interrogatories and Requests for Production, states as follows: PRELIMINARY STATEMENT AND GENERAL OBJECTIONS This Defendant's Response to each of these Interrogatories incorporates this Preliminary Statement and these General Objections. The information used in responding to these Interrogatories was assembled by authorized employees and counsel for this Defendant and was derived primarily from an ongoing review of records and from ongoing discussions with this Defendant's past and present employees. Because much ofthe information is of, or relates to, events ofmany years ago, it is difficult, ifnot impossible, for this Defendant to retrieve or reconstruct some of the requested information. Many of the individuals who might have had personal knowledge of the matters to which Plaintiffs' discovery relate are deceased or are otherwise unavailable to Defendant, and investigations to date indicate that at least some information and documents which might relate to matters inquired into by Plaintiffs' discovery may have been destroyed pursuant to Defendant's normal record retention policy or are otherwise unable to be found. Defendant is engaged in a continuing investigation in an attempt to locate or confirm the absence of such information or documents and Defendant also is engaged in F:wpdocs\11592'discovery'INREresponsetoplaimiffimerrogs&rfp.OOI.wpd a continuing investigation with respect to the matters inquired into by Plaintiffs' discovery. Therefore, this Defendant reserves the right to amend these Responses if new or more accurate information becomes available, or iferrors are discovered. Furthermore, these Responses are given without prejudice to this Defendant's right to rely at trial on subsequently discovered information or on information inadvertently omitted from these Responses as a result of mistake, error or oversight. To the extent information contained herein differs in any material respect from any prior responses to discovery, this response shall be deemed to update and supersede such prior responses, to the extent they may be inconsistent. Any objection by this Defendant to a request as being "overly broad" includes, but is not limited to, an objection to requests for information regarding the ultimate sale or distribution of products distributed or sold by this Defendant other than products identified by Plaintiffs as being at issue in this litigation, and which may not lead to the discovery of admissible evidence regarding products utilized at job sites where Plaintiffs are claiming exposure, because information sought regarding sales or distribution of other products of this Defendant is irrelevant and immaterial and not reasonably calculated to lead to the discovery of relevant, admissible evidence. American Standard objects to these Master Interrogatories and Requests insofar as the information sought is not limited to a time frame relevant to Plaintiffs' claims or to activities which transpired in a geographical area to which the Plaintiffs would have had contact. This Defendant objects to those Interrogatories and Requests that request information and documents regarding the ultimate sale or distribution of products distributed or sold by this Defendant other than to jobsites where Plaintiffs worked and which may not lead to the discovery of admissible evidence regarding F: ivpdocsd 1592idiscovery'iNREresponseioplaintiffimerrogs&rfp.OO!.u.pd -2- product shipments that may have been utilized at jobsites where Plaintiffs are claiming exposure, because information sought regarding other sales or distribution of this Defendant's products is irrelevant and immaterial and not reasonably calculated to lead to the discovery of relevant, admissible evidence. American Standard objects to the definition of the term "Defendant." American Standard has had numerous divisions, related entities and predecessors over the course of the decades referenced in Plaintiffs' Requests, many of which conducted business totally unrelated to the issues and claims raised in this litigation. On information and belief. Plaintiffs' claims against this Defendant relate to Defendant's former boiler products. Accordingly, American Standard will respond only on behalf of the entity to which process was directed and its former divisions and predecessors in interest which were involved in the manufacture of boilers. It is difficult for ASI to respond to form Interrogatories such as these which are directed to the activities, organization and structure of companies engaged in the mining and/or manufacture ofasbestos or asbestos-containing insulation products. It is not, nor has it ever been, a manufacturer of asbestos products or asbestos-containing insulation. As aforementioned, on information and belief, Plaintiffs' claims against ASI relate to boiler manufacture. As a result, these Interrogatory Responses apply only within that scope and context. To the extent that these Interrogatories call for information outside of that scope and context, this Defendant objects on the ground that such Interrogatories are overly broad, unduly burdensome, seek information neither relevant nor material to the subject matter of this case, and are not reasonably calculated to lead to the discovery of relevant, admissible evidence. F- w-pdocs11 1592 discovery ISREresponsetoplamntTsmenogs&rfp 001 \vpd O- The Texas Rules of Civil Procedure limit interrogatories to twenty-five. This Defendant, by in good faith attempting to answer these sixty-four interrogatories - not including sub-parts - does not waive its objection that these interrogatories exceed the maximum number allowed. Moreover, in responding to these Interrogatories, this Defendant does not concede the relevancy, materiality or admissibility of any information sought by the discovery Interrogatories or any responses thereto. These Responses are made subject to and without waiver of any questions or objections as to the competency, relevancy, materiality, privilege or admissibility of evidence, documents, or information referred to herein, or the subject matter thereof, in any proceeding, including trial. Defendants further response to this discovery, you are referred to the various depositions of Mary Jane Mahoney and Debra Bedard, and attached exhibits, voluntarily produced by this Defendant to Mr. Ben Dubose of Barron & Budd in the James Murphy case on March 13, 2000 as well as all other documents voluntarily produced by ASI in that matter.1 ANSWERS AND OBJECTIONS TO SPECIFIC INTERROGATORIES Subject to and without waiving the foregoing, this Defendant responds to Plaintiffs' specific interrogatories as follows: INTERROGATORY NO. 1: State the name, address, job title, length oftime employed by Defendant, and a year-byyear list of all other positions, titles, or jobs held when working for Defendant of each person who has supplied any information used in answering these interrogatories. 1 The depositions are as follows: Mary Jane Mahoney (September 13, 1994) taken in Robert L. Abernathy, et al v. AC&S, Inc. Cause No. A-920,967-C in the District Court of Orange County, Texas; 128'h Judicial District; Mary Jane Mahoney (May 27, 1999), taken in Danny Harris, et a! v. Asbestos Defendants; No. 991114; in the Superior Court of the State of California in and for the County of San Francisco; and Deborah Bedard (September 11, 1996) taken in Annie Ziemer, et al v, Owens-Coming, Cause No. 764451 -5, in the Superior Court of the State of California, In and for the County of Alameda. F' wpdocs 11592'discovery INREresponsecoplainhffimerrogs&rfp.OOl.wpd -4- ANSWER TO INTERROGATORY NO. 1: Defendant objects to this Interrogatory as overly broad, unduly burdensome and not reasonably calculated to lead to the discovery of relevant, admissible evidence. Subject to and without waiving such objections, see Preliminary Statement and General Objections. These Responses have been prepared with the assistance of its counsel. INTERROGATORY NO. 2: State whether or not you are a corporation. If so, state your correct corporate name, the state of your incorporation, the address of your principal place of business, the name and address of the person or entity authorized to accept service of process on your behalf, and whether or not you have ever held a Certificate of Authority to do business in the State of Texas. ANSWER TO INTERROGATORY NO. 2: Yes; American Standard Inc.; Delaware; One Centennial Avenue, Piscataway, New Jersey; American Standard Inc. was qualified to do business in the State of Texas on January 12, 1959. The agent for service of process is C T Corporation, 350 North Saint Paul Street, Dallas, Texas 75201. INTERROGATORY NO. 3: Has Defendant or any of its predecessor or subsidiary companies at any time engaged in the mining and subsequent sale of material containing asbestos fibers? Ifso, identify the location of the mine(s), the years of its operation, the type of asbestos mined and whether you sold any asbestos to any Defendants in the Dallas County asbestos litigation. ANSWER TO INTERROGATORY NO. 3; Defendant never mined, milled, purchased or sold raw asbestos, nor did it never manufacture asbestos insulation products. INTERROGATORY NO. 4: Identify by name each product containing asbestos fibers that Defendant or any of its predecessor or subsidiary companies at any time manufactured or sold. F;\wpdocs\l 1592\discovery\!NREresponseloplaintiffimerrogs&rfp.OOI .wpd -5- ANSWER TO INTERROGATORY NO. 4: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome and not reasonably calculated to lead to the discovery of relevant, admissible evidence. It is not limited to a relevant time frame or jobsite or to products, if any, at issue in this litigation. Plaintiffs should limit their inquiry to the specific American Standard products, if any, to which they claim exposure. Subject to and without waiving such objections, American Standard commenced with a merger in 1929 of American Radiator Company and the Standard Sanitary Manufacturing Company. In 1897, American Radiator bought the Ideal Boiler Company. In 1927, American Radiator bought Kewanee Boiler Co., which had been formed in 1898. Following the merger in 1929, the company was known as the American Radiator & Standard Sanitary Corporation, until 1967 when it changed its name to American Standard Inc. In 1952, Kewanee was merged into Kewanee-Ross Corporation, which was dissolved in 1955. Kewanee was thereafter operated as apart ofvarious divisions ofAmerican Standard, until 1970, when the Kewanee Boiler assets were sold to Kewanee Boiler Corp., an unrelated entity. In 1974, American Standard sold its Hydronics Division, which had conducted American Standard's remaining boiler business. Prior to 1975, American Standard, through its predecessors and divisions, engaged in the manufacture of relatively small boilers or pre-packaged boilers and burners for use in residential, commercial, institutional and industrial settings. American Standard has never engaged in the mining, milling, manufacture, sale or distribution of asbestos or asbestos fiber. It has never manufactured asbestos-containing insulation products. On occasion, prior to the late 1920s, but not thereafter, it may have offered, in unaltered condition, small quantities of asbestos cement and asbestos pipe covering manufactured by others as accessories to boiler sales. On occasion, prior to 1972, it may have offered, in unaltered condition, small quantities of rubberized asbestos-containing gaskets, rope and packing for replacement use in boilers. Some boilers manufactured and sold by American Standard in some instances at some points in time, may have contained asbestos-containing components such as block, cement, gaskets, rope, air cell, board, tape, paper and/or packing manufactured by other companies such as Johns-Manville, Grant-Wilson, Palmer Asbestos & Rubber Company, Janos Asbestos Co., Eagle-Picher and Garlock. Other manufacturers may have supplied products as well. Such components were used by American Standard in its products in unaltered condition. Most of the above products were located beneath the boiler jacket. Commencing in the 1930s, metal jackets were utilized to insulate and enclose boilers. Also, fiberglass began to be used F updoes11 1592 discovery INREresponseioplainliiTinicrrogs&rfp 001 wpd -6- in the place of asbestos in boilers in the 1940s. By the early 1950s, all boiler jackets manufactured by American Standard were insulated with fiberglass or mineral wool. After 1955, every American Standard boiler was jacketed. Kewanee boilers were jacketed beginning in I960. American Standard and Kewanee boilers that were not jacketed, were not insulated at manufacture, but were shipped bare metal without insulation. By the 197072 time frame, Kewanee boilers no longer incorporated asbestos-containing gaskets and rope. American Standard does not have detailed information regarding all the products it may have sold, as there have been numerous mergers, acquisitions and dispositions over the years. However, Attachment A itemizes the American Standard boiler and heating products presently believed to have contained an asbestos-containing component in the past. INTERROGATORY NO. 5: Identify by name each product containing asbestos fibers that Defendant or any of its predecessor or subsidiary companies at any time marketed or sold. ANSWER TO INTERROGATORY NO. 5: See Objections and Response to Interrogatory No. 4. INTERROGATORY NO. 6: If the answer to one or more of the last three interrogatories is in the affirmative or lists any products, state as to each named product the following: A. As to each product, state whether such product was mined, manufactured, marketed, and/or sold. B. The names of the companies mining, manufacturing, marketing, and/or selling each product mined, manufactured, marketed, and/or sold. C. The trade or brand name of each of those products mined, manufactured, marketed and/or sold. D. The date each of the named products was placed on the market. E. A description of the physical (chemical) composition of each of the named products, including the type of asbestos contained in the product and the percentage of asbestos put in each product. F. The date each of the products was removed from the market and no longer sold F- wpdocs'1 1592'discovery INREresponsetoplamltffinterrogs&rfp.OOLwpd -7- or distributed and the reason or reasons therefor. G. The date asbestos was removed from such products, if ever, and the reasons therefor. H. A description of the physical appearance of each of the named products. I. A detailed description of the intended uses of the named products. J. Identify the last year that you sold each asbestos-containing product. RESPONSE TO INTERROGATORY NO. 6: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, seeks irrelevant information and is not reasonably calculated to lead to the discovery ofrelevant, admissible evidence. Subject to and without waiving such objections, see Objections and Response to Interrogatory No. 4. In addition, ASI respond as follows: A. See Objections and Response to Interrogatory No. 4. B. See Objections and Response to Interrogatory No. 4. C. American Standard, American Radiator, Ideal and Kewanee. D. Except as provided in Response to Interrogatory No. 4, American Standard has no records of the dates such products were first placed on the market. E. Any asbestos-containing components of ASI boilers were manufactured by others and incorporated into the boilers without material change. ASI exited the boiler business by 1974 and, as a result, has few documents and little information regarding such products. American Standard currently has no information as to the type, grade, or percentage of asbestos that these components may have contained, except, on information and belief, many, if not all, of such components contained chrysotile asbestos. F. & G. See Objections and Response to Interrogatory No. 4. American Standard's Kewanee Boiler Division was sold in 1970. American Standard's Hydronics Division, which consisted of its remaining boiler business, was sold in 1974. H. Generally, American Standard boilers were relatively small boilers for use in residential, commercial, institutional and industrial settings. American Standard boilers presently believed to have contained asbestos-containing components are p updoes 11592'discoeery IN'REresponseloplainiiffimerrogs&rfp 00) wpd -8- identified on Attachment A and in response to Interrogatory No. 4. I. Generally, these relatively small boilers were used to generate heat, hot water and/or steam, depending on the year and model, and were fueled with coal, gas, oil or electricity. Temperature ranges and pressures varied with the model, size and application of the boiler. ASI did not manufacture boilers for ship propulsion. J. See Objections and Responses to Interrogatories Nos. 4 and 6(f). INTERROGATORY NO. 7; Do any documents, including but not limited to written memoranda, specifications, recommendations, blueprints, or other written materials of any kind or character, relating to the design, preparation, or introduction into the market of the products listed in Interrogatory No. 6 still exist? If so, state: A. A description of each such document. B. The name, address, and job title of each person who currently has possession of each document, and where the documents are currently located. ANSWER TO INTERROGATORY NO. 7: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, harassing, vague, ambiguous, irrelevant and not reasonably calculated to lead to the discovery ofadmissible evidence. It is not limited to a product, if any, at issue in this litigation, a relevant time frame orjobsite. Subject to and without waiving such objections, Defendant states that it currently has limited brochures, catalogs and manuals relating to some models of its former boiler products during certain time frames. If Plaintiffs will identify the specific ASI boiler, if any, to which exposure is claimed, Defendant will determine what, ifany, responsive documents exist. Regarding Interrogatory No. 7(b), Mary Jane Mahoney of ASI is the custodian of the limited existing boiler documents in question. INTERROGATORY NO. 8: Before distributing, selling, or placing the products listed in your responses to Interrogatory Nos. 3-6 into the streams of commerce, were any tests conducted to determine potential health hazards involved in the use of, or exposure to, the materials such as asbestos, contained in those products? If the answer is affirmative, state: A. The names of the products tested and the date of each test. F. ivpdocs J 1592'discov'ery INREresponsetoplamtjfTmfenoas&rfp 001 %vpd 9- - B. The name, address, and job title of each person conducting the tests or involved with conducting the tests. C. The results of the tests. ANSWER TO INTERROGATORY NO. 8: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, harassing, argumentative, vague, ambiguous, irrelevant and not reasonably calculated to lead to the discovery of admissible evidence. It is not limited to a product, if any, at issue in this litigation. It is not even limited to alleged asbestos hazards. Subject to and without waiving such objections, inasmuch as ASI was not the manufacturer of any of the asbestos-containing components utilized in its boilers, but simply incorporated them "as is," without substantial change and because the asbestos-containing components utilized in Defendant's boilers were underneath a boilerjacket and/or otherwise encapsulated, no testing for asbestos emissions was believed necessary. Defendant was not and is not currently aware of any asbestos hazards posed by its former boiler products. On information and belief. Defendant's boiler products either did not release harmful levels ofrespirable asbestos fibers during installation or use or did not release respirable fibers in excess of limits established by OSHA and the EPA. INTERROGATORY NO. 9: Do any documents, including but not limited to, written memoranda, specifications, recommendations, blueprints, or other written materials of any kind or character, relating to the testing of the products referred to in Interrogatory No. 6 now exist? If so, state: A. A description of each such document. B. The name, address, and job title of each person who currently has possession of each document, and where it is presently located. ANSWER TO INTERROGATORY NO. 9: See Objections and Response to Interrogatory No. 8. INTERROGATORY NO. 10: Did Defendant or any of its predecessor or subsidiary companies make any design changes or modifications as a result of those tests described in responses to Interrogatory No. 8? If the answer is affirmative, state: F updoes n592'discoverydNflEresponsetoplaimiffimerrogs&rfp.001 wpd -10- A. The trade names of the products changed. B. The nature of the changes made and the date of such changes or modifications. C. The name, address, and job title of each person responsible for having caused a change to be made, or having made a change or modification. ANSWER TO INTERROGATORY NO. 10: See Objections and Response to Interrogatory No. 8. INTERROGATORY NO. If: After releasing the products listed in Interrogatory No. 6 to the public, were any tests conducted on them to determine potential health hazards resulting from the use of or exposure to the materials, such as asbestos, contained in those products? If the answer is affirmative, state: A. The names of the products tested and the dates of such tests. B. The name, address, and job title of each person who conducted those tests. C. The results of those tests. D. Whether, as a result of the tests, any products were removed from the market. E. The names of all products removed from the market as a result of these tests. ANSWER TO INTERROGATORY NO. 11: See Objections and Response to Interrogatory No. 8, INTERROGATORY NO. 12: Do any documents, including written memoranda, specifications, recommendations, blueprints, or other written materials of any kind or character, relating to the potential health hazards of the products listed in Interrogatory No. 6 now exist? If so, state: A. The name of each product. B. A description of each document and how it relates to each product. F* wpdocs HS92'discovery,lN`REresponsetop!anufnmerrogs&rfp.00l.\vpd -li- C. The name, address, and job title of each person who currently has possession of each document, and where it is presently located. ANSWER TO INTERROGATORY NO. 12: See Objections and Response to Interrogatory No. 8. INTERROGATORY NO. 13: Did Defendant or any of its subsidiary companies make any design changes as a result of the tests discussed in your response to Interrogatories No. 8 or 11? If the answer is affirmative, state: A. The names of the products changed or modified. B. The name, address, and job title of each person responsible for having made a change or modification. C. The nature of the hazard or defect which resulted in such change or modification. ANSWER TO INTERROGATORY NO. 13: See Objections and Response to Interrogatory No. 8. INTERROGATORY NO. 14: Has Defendant or any of its predecessor or subsidiary companies at any time published or distributed any printed material, including brochures, pamphlets, catalogs, packaging or other written material or any kind of character containing any warnings concerning the possibility of injury resulting from the use of the asbestos-containing products listed in Interrogatory No. 6? If so, state: A. The names of each relevant product. B. The exact wording of each warning statement on each printed material. C. A description of the printed material other than the warning statement. D. The method used to distribute the warning to persons likely to use the product. E. The date each warning was first issued, distributed, or placed on packaging. -12F: wpdocsM 1592,discoverydNRresponsetoplainuffinterrogs&rfp.X)0I .wpd F. The name, address, and job title of each person responsible for having drafted or issued the warning. G. The current location of any such printed material and the custodian thereof. H. The form in which such literature or printed material can be accessed, Le., the manner in which such literature is indexed or stored. ANSWER TO INTERROGATORY NO. 14: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, harassing, vague, argumentative, ambiguous, irrelevant and not reasonably calculated to lead to the discovery ofadmissible evidence. It is not limited to a relevant time frame, product or job site. Subject to and without waiving such objection, American Standard did not manufacture any of the asbestos-containing component parts incorporated "as is," without substantial change, into its boiler products. Moreover, on information and belief, any asbestos-containing components utilized in its boilers/bumers were located beneath the boiler jacket and/or otherwise encapsulated. On information and belief, no harmful levels of respirable asbestos fibers were released from ASI boilers and, as such, no warnings regarding asbestos were believed necessary. INTERROGATORY NO. 15: Before 1970, had you received notice that any individual or individuals, other than those Plaintiffs who have filed personal injury actions in Dallas County, Texas, is or are claiming or has or have claimed an injury as a result of using asbestos products manufactured and/or sold by your company or any of its predecessors or subsidiaries before 1970? If so, state: A. The name and address of each claimant. B. The date of notice of each claim. C. A description of the claim. D. The type of injuries allegedly sustained. E. The name and address of each attorney who represents each individual making a claim. F. The style and court number of each claim. F; wpdocs 11592\discovew>INREresponsetoplaintiffinlerTOgs&rfp.001.wpd -13- G. The disposition of each claim that has been settled or taken to judgment. ANSWER TO INTERROGATORY NO. 15: Defendant did not manufacture "asbestos products." Prior to 1970, American Standard received no notice of any claimed asbestos-related injuries alleged to have occurred as a result of using American Standard boilers. INTERROGATORY NO. 16: Were your asbestos products distributed, marketed, packaged, labeled and/or sold by companies other than your own? If the answer is affirmative, list the names and addresses of each of those companies, and the products in question. ANSWER TO INTERROGATORY NO. 16: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, harassing, irrelevant and not reasonably calculated to lead to the discovery of admissible evidence. It is not limited to a relevant product, time frame andjob site. Subject to and without waiving the foregoing objection, Defendant did not manufacture asbestos products. Defendant manufactured boilers and burners, some of which, at some points in time, may have contained asbestos-containing components. Some American Standard boiler products were sold through independent, wholesale distributors. INTERROGATORY NO. 17: Did you or any of your predecessors, successors, or subsidiaries have any distributors or sales representatives of asbestos products in the States of Alabama, Florida, Mississippi, Oregon, Washington, Georgia, Tennessee, Texas and Virginia? Ifso, state: A. The name and address of each such distributor or sales representative. B. The years in which such company or person distributed, marketed, or sold your products. C. What products were distributed, marketed, or sold and in what years. F wpdocs-11592 discovery INREresponsetoplaimiffiwenogs&rfp.001.v.pd -14- ANSWER TO INTERROGATORY NO. 17: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, harassing, vague, ambiguous, irrelevant and not reasonably calculated to lead to the discovery of admissible evidence. It is not limited to a relevant time frame, job site, geographic area and product. Subject to and without waiving such objections, Defendant's boiler products were sold by distributors in variousjurisdictions. However, inasmuch as ASI exited the boiler business in 1974, the only information American Standard presently retains which identifies any distributors of its heating products in Alabama, Florida, Mississippi, Oregon, Washington, Georgia, Tennessee, Texas and Virginia is a June 1969 Official Distributor List for the U. S. Plumbing & Heating Division. A copy of that document is attached as Exhibit "B". However, the distributors on that list distributed various ASI products, such as plumbing supplies, most of which did not contain asbestos-containing components. INTERROGATORY NO. 18: List each employee (including only physicians and/or hygienists) who has acted in a medical advisory capacity to your company at any time during the past 40 years, including, but not limited to, physicians and industrial hygienists, and the current address, telephone number and job title of each of those individuals and who has, had or may have had any knowledge regarding the hazards of asbestos. ANSWER TO INTERROGATORY NO. 18: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, harassing, vague, ambiguous, irrelevant and not reasonably calculated to lead to the discovery of admissible evidence. Subject to and without waiving such objections, American Standard presently is able to state only that Raymond Yerg was corporate medical director in 1981. INTERROGATORY NO. 19: Does Defendant have in its possession any books, pamphlets, memoranda, or written materials of any kind or character that would indicate that asbestos fibers, when inhaled, can be hazardous to the health of human beings? If so, state: A. The name of each such publication. B. The date of publication and the names of the author and publisher (if any). C. The name, job title, and address of each person who currently has possession of F; wpdocs I l592,discovery,IN'Rresponseioplaiufnmen,ogs&rfp.001 wpd -15- each publication and its present location. ANSWER TO INTERROGATORY NO. 19: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, vague, ambiguous, irrelevant and not reasonably calculated to lead to the discovery ofadmissible evidence. It is unlimited in time. Moreover, as written it seeks core work product. Subject to and without waiving such objections, Defendant is unaware ofany responsive documents relating to boiler products. INTERROGATORY NO. 20; Has Defendant or any of its subsidiary or predecessor companies at any time been a member of any trade organization or association that published or disseminated any documents or information relating to the hazards of asbestos comprised of other manufacturers, miners, marketers, and/or sellers of asbestos products? If so, state: A. The name and address of each association or organization. B. The dates during which Defendant or any of its subsidiaries or predecessors were members. C. The names and dates of any publications, minutes, or reports published, written, or disseminated by any of the named associations or organizations. D. Whether any of those publications are still in your possession, and if so: 1. A description of the publications, including the date. 2. The current location of such publications. 3. The custodian of such publications. 4. The method or manner in which such publications are maintained. ANSWER TO INTERROGATORY NO. 20: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome and not reasonably calculated to lead to the discovery of relevant, admissible evidence. Subject to and without waiving such objections, Defendant is a large, decentralized company that has had numerous employees in numerous divisions, over the course of a century. Defendant's employees may have held memberships in various organizations from time to time, but Defendant has no central repository for information of this type. As such, it is impossible for it to identify all organizations to which its employees may have belonged in the past, whether any of them received publications from -16-F:-.wpdocs'M592'discovery\IN,REresponseioplainlifnmerrogs&rfp.00Kwpd organizations and whether any publications that may have been received by individual employees still exist today. At present it is able only to state that, on information and belief, Industrial Hygiene Foundation documents indicate that from 1936-1958, American Radiator and Standard Sanitary Corporation belonged to the Industrial Hygiene Foundation. From 1969-1971, American Standard was a member of this organization. From 1934 to a date unknown, Standard Sanitary Manufacturing Corporation was a member of the American Ceramic Society. American Standard rejoined this organization in 1981 and remains a member at present. INTERROGATORY NO. 21: Identify by name and location each plant or manufacturing facility in which the products listed in your answers to Interrogatory Nos. 3-6 were manufactured, assembled, or prepared for sale or marketing, specifying which plants produced each item, the dates each plant is or was in operation, and the time span during which each named item was produced or manufactured. ANSWER TO INTERROGATORY NO. 21: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, harassing, vague, ambiguous, irrelevant and not reasonably calculated to lead to the discovery of admissible evidence. It is not limited to a relevant product, time frame, job site and geographic area. Subject to and without waiving such objections, see Objections and Response to Interrogatory No. 4. Kewanee boilers were manufactured in Kewanee, Illinois. ASI boilers were manufactured in the U. S. at plants in various locations, primarily in Buffalo, New York and Detroit, Michigan. INTERROGATORY NO. 22; Have printed sales materials been prepared by Defendant or any of its subsidiary or predecessor companies or their agents for purposes of marketing or advertising products containing asbestos? If so, state: A. The name, address, and job title of each person or entity who prepared such materials. B. The name, address, and job title of each person who currently has possession of such materials and their present location. C. The date the materials were prepared. -17-F 'wpdocsH 1592'discoveryvJNRHresponsetop!aintifnnten-og5&rfp.OOI.wpd D. The media used to disseminate the sales materials. ANSWER TO INTERROGATORY NO. 22: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, harassing, vague, ambiguous, irrelevant and not reasonably calculated to lead to the discovery of admissible evidence. It is not limited to relevant time frames, products andjob sites. Subject to and without waiving such objections, see Objections and Responses to Interrogatories Nos. 7 and 14. INTERROGATORY NO. 23: Have any written or printed materials or instructions of any kind or character been prepared by Defendant or any of its subsidiary or predecessor companies or their agents indicating how asbestos products should be used and maintained? If so, state: A. The name, address, and job title of each person who prepared such materials or instructions or assisted in their preparation. B. The name, address and job title of each person who currently has possession of such materials or instructions and their present location. C. The dates of distribution or use and the manner in which such materials or instructions were distributed to purchasers of Defendant's products or those of its subsidiaries or predecessors. D. The year each such written material or instruction was prepared and disclosed to potential consumers. ANSWER TO INTERROGATORY NO. 23: See Objections and Response to Interrogatory No. 22. INTERROGATORY NO. 24: Does Defendant have insurance policies that might cover the claims made by Plaintiffs in these cases? If so, list the name of each insurance carrier, the amount of initial coverage, amount of coverage remaining at the present time, and the effective dates of each policy. (If properly answered, this Interrogatory need not be supplemented as to the remaining amount of coverage). F; wpdocs 11592 discovery'INREresponsetoplainliffimerrogs&rfp OOl.wpd -18- ANSWER TO INTERROGATORY NO. 24: Defendant object to this Interrogatoiy on the grounds that it is overly broad, unduly burdensome, and not reasonably calculated to lead to the discovery of relevant, admissible evidence. It repeats Plaintiffs' request for disclosure. Subject to and without waiving such objections, this Defendant claims to have liability insurance coverage, depending on the years ofalleged exposure in question, for varying amounts from varying insurers. Insurance available to pay asbestos-related claims is aggregate and dependent upon the time and circumstances underlying each claim and the payments made under each policy. For some claims, no insurance may exist, depending on the date of exposure. American Standard is continuing to analyze the claims made against it and will supplement this response if it is able to accurately assess insurance coverage for those claims. American Standard is presently able to state that it has had coverage provided to it at varying times from Michigan Mutual Insurance Company, Aetna Casualty, Travelers Indemnity Company, USF&G, Cigna and, perhaps, others. A chart of coverage is available for inspection and copying upon request. INTERROGATORY NO. 25: As to the disease asbestosis, state: A. The date on which Defendant or its subsidiary or predecessor first learned that such disease was caused by inhalation of asbestos fibers by humans. B. How Defendant became aware of the existence of the disease. C. Who within the company first discovered, recognized or understood the adverse consequence or effects of the disease and/or of asbestos exposure. D. What information was disseminated within Defendant's company or its subsidiary or predecessor regarding such adverse consequences or effects. E. Whether any such information is still maintained by Defendant or its subsidiary or predecessor in any written form. F. Who is the custodian of such information. G. The date on which you first received knowledge or information that asbestos was caused by inhalation of asbestos fibers. F wpdocs 11592''discovevy INREresponsetoplaimiffinierrogs&rfp 001 *pd -19- ANSWER TO INTERROGATORY NO. 25: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, vague, ambiguous, irrelevant, harassing and not reasonably calculated to lead to the discovery of admissible evidence. Defendant further objects to the extent that it improperly calls for medical opinion. The interrogatory does not specify what level or type of exposure is claimed to be at issue. The Interrogatory fails to distinguish between fiber types and ignores important factors such as differences in the friability of asbestos fibers in different products, different uses of asbestos-containing products, different exposures of different individuals at different work sites engaged in different crafts and the frequency, proximity; regularity and duration ofparticular exposures. Subject to and without waiving such objections, Defendant is a corporation, which has employed numerous persons throughout the course of its business, any one ofwhom may have obtained varying degrees ofknowledge regarding asbestos and asbestos-related disease at varying points in time. The amount of materials published in both the technical and popular press that discuss possible correlations between asbestos, especially friable, amphibole asbestos, and human health consequences is voluminous. Thus, Defendant is unable to definitively answer on what specific date, as a corporation, it first became aware of a possible correlation between asbestos, in particular circumstances, and certain human health consequences. At all relevant times, Defendant and its respective business divisions kept apprised of the prevailing industry standards and standards ofmedical art as they related to the operation ofDefendant's respective businesses. Defendant presumably received notice of the hazards of asbestos at approximately the same time as did the general public, which is presently believed to have been in the 1970s. Defendant is not currently nor has it ever been aware of any clinical, epidemiological, toxicological, industrial hygiene, medical and/or scientific literature or study demonstrating that its products caused asbestos-related adverse health consequences. See also Response to Interrogatory No. 14. INTERROGATORY NO. 26: As to the disease lung cancer, state: A. The date on which Defendant or its subsidiary or predecessor first learned that such disease was caused by inhalation of asbestos fibers by humans. B. How Defendant or its subsidiary or predecessor became aware of the disease and its relationship to asbestos exposure. C. Who within the company or its subsidiary or predecessor first discovered or recognized the adverse consequences or effects of asbestos exposure. D. What information was disseminated within Defendant's company or its F wpdocs 11592 discovery INREresponsetoplainuffinterTOgs&rfp OOLwpd -20- subsidiary or predecessor regarding such adverse consequences or effects. E. Whether any such information is still maintained by Defendants or its subsidiaries or predecessors in a written form. F. Who is the custodian of such information. G. The date on which you first received knowledge or information that lung cancer was caused by inhalation of asbestos dust and fibers. ANSWER TO INTERROGATORY NO. 26: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, vague, ambiguous, irrelevant, harassing and not reasonably calculated to lead to the discovery of admissible evidence. Defendant further objects to the extent that it improperly calls for medical opinion. The interrogatory does not specify what level or type of exposure is claimed to be at issue. The Interrogatory fails to distinguish between fiber types and ignores important factors such as differences in the friability of asbestos fibers in different products, different uses of asbestos-containing products, different exposures of different individuals at different work sites engaged in different crafts and the frequency, proximity, regularity and duration of particular exposures. Subject to and without waiving such objections, Defendant is a corporation, which has employed numerous persons throughout the course of its business, any one ofwhom may have obtained varying degrees ofknowledge regarding asbestos and asbestos-related disease at varying points in time. The amount of materials published in both the technical and popular press that discuss possible correlations between asbestos, especially friable, amphibole asbestos, and human health consequences is voluminous. Thus, Defendant is unable to definitively answer on what specific date, as a corporation, it first became aware of a possible correlation between asbestos, in particular circumstances, and certain human health consequences. At all relevant times, Defendant and its respective business divisions kept apprised of the prevailing industry standards and standards ofmedical art as they related to the operation ofDefendant's respective businesses. Defendant presumably received notice of the hazards of asbestos at approximately the same time as did the general public, which is presently believed to have been in the 1970s. Defendant is not currently nor has it ever been aware of any clinical, epidemiological, toxicological, industrial hygiene, medical and/or scientific literature or study demonstrating that its products caused asbestos-related adverse health consequences. See also Response to Interrogatory No. 14. INTERROGATORY NO. 27: As to pleural disease, pleural thickening or pleural plaques, state: F. wpdocs'l l592,discoveryv|NREresponsetoplainuffinterrogs&rfp 001 v,pd -21- A. The date on which Defendant or its subsidiary or predecessor learned such disease was caused by inhalation of asbestos fibers by humans. B. How Defendant or its subsidiary or predecessor became aware of the disease and that it was caused by exposure to asbestos. C. Who within the company or its subsidiary or predecessor first discovered or recognized the adverse consequences or effects of asbestos exposure. D. What information was disseminated within Defendant's company or its subsidiary or predecessor regarding such adverse consequences or effects. E. Whether any such information is still maintained by Defendant or its subsidiary or predecessor in a written form. F. Who is the custodian of such information. ANSWER TO INTERROGATORY NO. 27: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, vague, ambiguous, irrelevant, harassing and not reasonably calculated to lead to the discovery of admissible evidence. Defendant further objects to the extent that it improperly calls for medical opinion. The interrogatory does not specify what level or type of exposure is claimed to be at issue. The Interrogatory fails to distinguish between fiber types and ignores important factors such as differences in the friability of asbestos fibers in different products, different uses of asbestos-containing products, different exposures of different individuals at different work sites engaged in different crafts and the frequency, proximity, regularity and duration of particular exposures. Subject to and without waiving such objections, Defendant is a corporation, which has employed numerous persons throughout the course of its business, any one of whom may have obtained varying degrees ofknowledge regarding asbestos and asbestos-related disease at varying points in time. The amount of materials published in both the technical and popular press that discuss possible correlations between asbestos, especially friable, amphibole asbestos, and human health consequences is voluminous. Thus, Defendant is unable to definitively answer on what specific date, as a corporation, it first became aware of a possible correlation between asbestos, in particular circumstances, and certain human health consequences. At all relevant times, Defendant and its respective business divisions kept apprised of the prevailing industry standards and standards ofmedical art as they related to the operation ofDefendant's respective businesses. Defendant presumably received notice of the hazards of asbestos at approximately the same time as did the general public, which is presently believed to have been in the 1970s. Defendant is not currently nor has it ever been aware of any clinical, epidemiological, toxicological, industrial hygiene, medical and/or scientific literature or F* v,pdocs }l592'discovery\I.VRHresponsetoplatmiffimerros&rfp.00I.U'pd -22- study demonstrating that its products caused asbestos-related adverse health consequences. See also Response to Interrogatory No. 14. INTERROGATORY NO. 28: As to the disease mesothelioma, state: A. The date on which Defendant or its subsidiary or predecessor first learned such disease was caused by inhalation of asbestos fibers by humans. B. The date on which Defendant first suspected that mesothelioma was caused by inhalation of asbestos dust and fibers. C. How Defendant or its subsidiary or predecessor became aware of the disease and that it was caused by exposure to asbestos. D. Who within the company or its subsidiary or predecessor first discovered or recognized the adverse consequences or effects of asbestos exposure. E. What information was disseminated within Defendant's company or its subsidiary or predecessor regarding such adverse consequences or effects. F. Whether any such information is still maintained by Defendants or its subsidiary or predecessor in a written form. G. Who is the custodian of such information. H. Whether Defendant agrees that there is no known medical cure for mesothelioma. ANSWER TO INTERROGATORY NO. 28: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, vague, ambiguous, irrelevant, harassing and not reasonably calculated to lead to the discovery of admissible evidence. Defendant further objects to the extent that it improperly calls for medical opinion. The interrogatory does not specify what level or type of exposure is claimed to be at issue. The Interrogatory fails to distinguish between fiber types and ignores important factors such as differences in the friability of asbestos fibers in different products, different uses of asbestos-containing products, different exposures of different individuals at different work sites engaged in different crafts and the frequency, proximity, regularity and duration of particular exposures. Subject to and without waiving such objections, Defendant is a corporation, which has employed numerous persons F. wpdocs-1 l592'discovery'lNREresponsetoplaiMifrintem>gs&rfp 001 wpd -23- throughout the course of its business, any one ofwhom may have obtained varying degrees ofknowledge regarding asbestos and asbestos-related disease at varying points in time. The amount of materials published in both the technical and popular press that discuss possible correlations between asbestos, especially friable, amphibole asbestos, and human health consequences is voluminous. Thus, Defendant is unable to definitively answer on what specific date, as a corporation, it first became aware of a possible correlation between asbestos, in particular circumstances, and certain human health consequences. At all relevant times, Defendant and its respective business divisions kept apprised of the prevailing industry standards and standards ofmedical art as they related to the operation ofDefendant's respective businesses. Defendant presumably received notice of the hazards of asbestos at approximately the same time as did the general public, which is presently believed to have been in the 1970s. Defendant is not currently nor has it ever been aware of any clinical, epidemiological, toxicological, industrial hygiene, medical and/or scientific literature or study demonstrating that its products caused asbestos-related adverse health consequences. See also Response to Interrogatory No. 14. INTERROGATORY NO. 29: As to gastro-intestinal cancer, laryngeal cancer, pharyngeal cancer or lymphatic cancer, state: A. The type of cancer and the date on which Defendant or its subsidiary or predecessor first learned that such diseases were caused by inhalation of asbestos fibers by humans. B. What cancers has the Defendant or its subsidiary or predecessor become aware can be caused by exposure to asbestos fibers? C. The date on which Defendant first suspected other cancers were caused by asbestos inhalation. D. Who within the company or its subsidiary or predecessor first discovered the adverse consequences or effects of asbestos exposure. E. What information was disseminated with Defendant's company or its subsidiary or predecessor regarding such adverse consequences or effects. F. Whether any such information is still maintained by Defendant or its subsidiary or predecessor in a written form. G. Who is the custodian of such information. F updoes 11592 discoverydNREresponseloplaimiffinleiTOgs&rfp 001 wpd -24- ANSWER TO INTERROGATORY NO. 29: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, vague, ambiguous, argumentative, irrelevant, harassing and not reasonably calculated to lead to the discovery of admissible evidence. Defendant further objects on the grounds that it assumes facts not in evidence and calls for medical opinion, which this Defendant is not qualified to render. Defendant would further state that, on information and belief, no association between the inhalation of asbestos fibers and cancer of the gastro intestinal tract, larynx, pharynx and/or lymph nodes has been established by the medical and/or scientific communities. Subject to and without waiving such objections. Defendant is not currently nor has it ever been aware ofany clinical, epidemiological, toxicological, industrial hygiene, medical and/or scientific literature or study demonstrating that its products caused asbestos-related adverse health consequences. The amount of materials published in the both the technical and popular press that discuss possible correlations between asbestos, especially friable, amphibole asbestos, and human health consequences is voluminous. Thus, Defendant is unable to definitively answer on what specific date it first became aware of a possible correlation between asbestos, in particular circumstances, and certain human health consequences. At all relevant times, Defendant and its respective business divisions kept apprised of the prevailing industry standards and standards of medical art as they related to the operation of Defendant's respective businesses. INTERROGATORY NO. 30: Does Defendant contend that asbestos products can be manufactured or designed so as to eliminate all potential health hazards to persons working with or exposed to them? If the answer is affirmative, explain in detail, and attach any studies or surveys on which this answer is based. ANSWER TO INTERROGATORY NO. 30: Defendant objects to this Interrogatory on the grounds that it is overly broad, vague, harassing, unduly burdensome and not reasonably calculated to lead to the discovery of relevant, admissible evidence. Subject to and without waiving such objections, Defendant did not manufacture the asbestos-containing components that it utilized "as is" in some of its boiler products. However, on information and belief, since such components were located under a boilerjacket or otherwise encapsulated, on information and belief, no harmful levels ofrespirable asbestos fibers were emitted. This issue will be the subject ofexpert testimony as set forth more fully in Defendant's expert witness designation. F, wpdocs 11592 discovery-lNREresponsetoplaintiffimerrogs&rfp 001 wpd -25- INTERROGATORY NO. 31: Describe in detail the types of packages or packaging which Defendant or any of its subsidiary or predecessor companies used for asbestos material orproducts, listingthe dates each type of package was used, a physical description of each type of package, and providing a description of any printed material or trademarks that appeared thereon. ANSWER TO INTERROGATORY NO. 31: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, irrelevant and not reasonably calculated to lead to the discovery of admissible evidence. It is not limited to relevant products, time frames or job sites. Subject to and without waiving such objections, if Plaintiffs will identify the specific American Standard boiler product to which they claim exposure, ASI will determine if responsive information is available. INTERROGATORY NO. 32: Has Defendant or any of its subsidiary or predecessor companies at any time entered into a "rebranding" agreement with any other company, either as buyer or seller, concerning asbestos materials or asbestos products? If so, state, as to each such agreement: A. The name of the company manufacturing the asbestos products. B. The trade name affixed to those products. C. The periods of time covered by each such agreement. D. The volume, in dollar amount, of each transaction. E. The initial purchaser of the products. ANSWER TO INTERROGATORY NO. 32: No. INTERROGATORY NO. 33: List the name and address of each company from which Defendant or its subsidiary or F-'wpdocs 11592 discovery'INREresponsetoplainiiffimerrogs&rfp 001 wpd -26- predecessor purchased materials or asbestos products which Defendant sold or distributed in any form, stating the form of the materials, the dates of such purchases, and the ultimate disposal of such materials. ANSWER TO INTERROGATORY NO. 33: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome and not reasonably calculated to lead to the discovery of relevant, admissible evidence. It is not limited to relevant time frames, products and job sites. Subject to and without waiving such objections, see Objections and Responses to Interrogatory No. 4. INTERROGATORY NO. 34: Does Defendant or any of its subsidiaries or predecessors currently have possession of any writings or contracts on those rebranding agreements set forth in the answer to Interrogatory No. 32? If the answer is affirmative, state: A. The name, address, and job title of each person having custody of each of those documents and their current location. B. A brief description of each such documents, including the dates and the parties signatory. ANSWER TO INTERROGATORY NO. 34: N/A. INTERROGATORY NO. 35: Prior to 1968, did any person file a claim against a Worker's Compensation carrier covering Defendant or any of its subsidiaries or predecessors alleging that he/she contracted a disease from inhaling asbestos fibers? If so, provide? A. A list of the claims, including each claimant's name, address and the date each claim was filed, and including the caption and jurisdiction of the claim. B. The disease alleged in each such claim. C. A brief summary of the disposition of each such claim. D. The name, address and title of the person having custody of the records pertaining to each such claim. F' wpdocs 11592 discovery'lNRHresponscloplainufnnterTOgs&rfp001.wpd -27- ANSWER TO INTERROGATORY NO. 35: Defendant objects to this Interrogatory on the grounds that it is overly broad, vague, harassing, unduly burdensome and not reasonably calculated to lead to the discovery of relevant, admissible evidence. The conditions in Defendant's manufacturing plants, unrelated to its end products, are not relevant to Plaintiffs' claims in this litigation. Subject to and without waiving such objections, not to present knowledge. INTERROGATORY NO. 36: Did Defendant or any of its subsidiaries or predecessors maintain written minutes of corporate meetings, either board ofdirectors, departmental, or otherwise, which reflect discussions pertaining to any subject matter related to asbestos products? If so, for each such set of minutes, state: A. The dates of each such meeting. B. The general subject matter discussed at each meeting. C. Who was in attendance at each meeting. D. Where and by whom the written minutes are presently maintained. E. By whom the minutes were taken and put into final format. F. Whether the minutes were abstracted and reports disseminated to other individuals, and if so, the names and job titles of those individuals. ANSWER TO INTERROGATORY NO. 36: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, vague, ambiguous and not reasonably calculated to lead to the discovery of relevant, admissible evidence. Moreover, the Request seeks information and documents protected by the work product, attomey/client and/or other privilege. It is not limited to relevant boiler products. Subject to and without waiving such objections, not to present knowledge. INTERROGATORY NO. 37: Do you or any of your subsidiaries, including foreign business entities, currently manufacture any products containing asbestos? If so, state: F: wpdocs I I592'discovery'lNRHrespon$etoplaintiffimeiTogs&ripOO! Avpd -28- A. As to each product, whether such product is mined, manufactured, and/or marketed or sold. B. The names and addresses f the companies mining, manufacturing, marketing, and/or selling each of those products. C. The trade or brand name of each of those products mined, manufactured, marketed, and/or sold. D. The date each of the named products was placed on the market. E. A description of the physical (chemical) composition of each of the named products, including the type of asbestos contained in the product. F. A description of the physical appearance of each product and its packaging. G. A detailed description of the intended uses of each of the named products. H. Whether there are any warning labels on said products or containers regarding potential asbestos-related health hazards. ANSWER TO INTERROGATORY NO. 37: INTERROGATORY NO. 38: State whether you or any of your predecessors and/or subsidiaries maintain, from 1940 through the present or for any portion thereof, copies of invoices, shipping documents, bills of lading, purchase orders, or other documents of a similar nature relating to the mining, manufacture, marketing, sale or distribution of asbestos products. If so, state: A. The location of such documents. B. The name and address of the custodian of the documents. C. The format in which the documents are kept, i.e.. hard copy, microfilm, microfiche, etc. D. In what form the documents can be accessed, Le., by state, by product, etc., and ifby product, whether kept according to asbestos or non-asbestos. F- ivpdocs-11592 discovery'INREresponseioplamiiffimerrogs&rfp.OOl \vpd -29- ANSWER TO INTERROGATORY NO. 38: Defendant objects to this Interrogatoiy on the grounds that it is overly broad, vague, harassing, argumentative, unduly burdensome and not reasonably calculated to lead to the discovery of relevant, admissible evidence. It is not limited to relevant products and time frames. Subject to and without waiving such objections, no such documents are known to exist regarding ASI's former boiler products. INTERROGATORY NO. 39: May you call company representatives as witnesses at the trial of any of these cases? If so, list: A- The name, address, and job title of each company representative who may be called. B. A summary of the testimony expected to be given by each such witness. C. List any and all previous times that the named witnesses have either given deposition or trial testimony in an asbestos-related case, including the jurisdiction, style of the case, case number, date of testimony, and the name of the attorney taking the deposition for the Plaintiffs in that case. ANSWER TO INTERROGATORY NO. 39: Defendant has not yet made a determination of who it will call at a trial of this action. ASI will provide its witness lists in accordance with the scheduling orders of the Court and the Rules of Civil Procedure. INTERROGATORY NO. 40: Have Defendant or its subsidiaries or predecessors ever acquired through purchase, reorganization, or merger another corporation, company, or business which manufactured, sold, processed, distributed, or contracted or supplied products containing asbestos? If so, for each such entity, state: A. Full and correct name; B. Principal place of business; C. State of incorporation; F- wpdocs 11592 discovery.INREresponseloplaintifdnierrogs&rfp OOl.wpd -30- D. Date of acquisition by Defendant; E. Whether or not the business entity was ever authorized to transact business in the State of Texas; ANSWER TO INTERROGATORY NO. 40: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome and not reasonably calculated to lead to the discovery of relevant, admissible evidence. It is not limited to relevant products and time frames. Subject to and without waiving such objections, see Objections and Response to Interrogatory No. 4. INTERROGATORY NO. 41: Was each of your asbestos products generally expected to reach, or packaged to reach, the consumer or user, without substantial change in the condition in which it was sold? If not, with respect to any such product, explain in what way the Defendant claims its products were altered or substantially changed after sale or distribution and before reaching the user. ANSWER TO INTERROGATORY NO. 41: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, vague, ambiguous and not reasonably calculated to lead to the discovery of relevant, admissible evidence. It is not limited to relevant products and time frames. Subject to and without waiving such objections, if Plaintiffs will identify the specific ASI boiler product allegedly at issue, Defendant will determine if further response may be made. INTERROGATORY NO. 42: For each asbestos-containing product identified in response to Interrogatory No. 6, identify all foreseeable users such as insulators, helpers, pipefitters, welders, machinist, plasterers, drywall finishers, carpenters, boilermakers, shipwrights and riggers, etc. of any of Defendants's asbestos-containing products. ANSWER TO INTERROGATORY NO. 42: Defendant objects to this Interrogatory on the grounds that it is vague, ambiguous, overly broad, unduly burdensome and not reasonably calculated to lead to the discovery ofrelevant, admissible evidence. It is not limited to products at issue in this litigation, if any, or to a relevant time frame or job site. Subject to and without waiving such objections, Defendant did not manufacture or sell asbestos-containing insulation products. ASI's boilers were F' wpdocs' 1! 592'discoveryM NREresponsetoplaintiffinterrogs&rfp.OO 1.wpd -31- usually installed by plumbers or mechanical contractors involved in boiler installation. INTERROGATORY NO. 43: Based upon the material contents of your asbestos-containing products, the method of manufacturing, and the method of application, can such products be generally applied without liberating asbestos fibers into the air? A. Ifthere is a different answer concerning different products manufactured, sold, distributed, or used by your company, then specify the different products by precise manufacturer's name and popular name. B. If there is a difference in your answer depending on the year or years in which a particular product was used, then specify in detail what year or years you are referring to and the specific products you are referring to and year involved. ANSWER TO INTERROGATORY NO. 43: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, harassing, vague, ambiguous, irrelevant and not reasonably calculated to lead to the discovery of admissible evidence. It is not limited to a relevant product, job site and time frame. Subject to and without waiving such objections, Defendant states it did not manufacture asbestos products. Defendant's boiler products are not "applied". See also response to Interrogatory No. 14. INTERROGATORY NO. 44: Was it a foreseeable use of your asbestos-containing products that they may have been removed, stripped, or replaced at some time after installation? ANSWER TO INTERROGATORY NO. 44; Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, harassing, vague, ambiguous, irrelevant and not reasonably calculated to lead to the discovery of admissible evidence. It is not limited to a relevant product, job site and time frame. Subject to and without waiving such objections, Defendant states that its boiler products and various components thereof, may need replacement at some point in time, under certain circumstances. INTERROGATORY NO. 45: F'wpdocs 11592%discovery\!NREresponsetoplaintiffimerrogs&rfp,001 .wpd -32- Before 1970, did you or your subsidiaries or predecessor(s) ever arrange for any labor inspectors, insurance company inspectors or anyone from your company to go to job sites where your products were being used or installed to make or take dust level counts? If so, state when this procedure started, the purpose of such procedures, and all results of such procedures. ANSWER TO INTERROGATORY NO. 45: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, argumentative, harassing, vague, ambiguous, irrelevant and not reasonably calculated to lead to the discovery of admissible evidence. It is not limited to relevant products, job sites and time frames. The conditions of ASI plants or of jobsites where Plaintiff did not work are not relevant to Plaintiffs claims in this litigation. Subject to and without waiving such objections, any asbestos-containing components installed into American Standard products were manufactured by others and purchased and installed into its products, primarily under the boiler jacket, without substantial change. As such, there was no reason to believe that any significant threat to health was presented thereby. Moreover, American Standard typically sold its boilers to distributors and, as such, the identity of the purchaser was not always known to ASI. Defendant is presently unaware of any labor inspectors, insurance company inspectors or anyone else performing dust level counts at the job sites of any end-users of ASI boilers. INTERROGATORY NO. 46: If Defendant performed or had performed any dust level counts, what action, based on the results, did your company take? ANSWER TO INTERROGATORY NO. 46: See Objection and Response to Interrogatory No. 45. INTERROGATORY NO. 47: Has your company or its subsidiaries or predecessor(s) ever conducted or caused to be conducted any studies designed to assist in minimizing or eliminating the inhalation of asbestos dust and fibers by those exposed to the use of your company's products? If so, give the following: A. Name of the person or firm conducting such studies; B. The date the studies began and the date they were completed; -33-F.'wpdocsM l592\discovery`lNREresponsetoplainiiffinterrogsS'rfp.001.wpd C. Any publication or other written dissemination of the results of the studies; D. The nature of any action to eliminate or minimize the inhalation of asbestos dust fibers; ANSWER TO INTERROGATORY NO. 47: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, argumentative, vague, ambiguous, irrelevant and not reasonably calculated to lead to the discovery of admissible evidence. It is not limited to relevant products, job sites and time frames. Subject to and without waiving such objections, no. On information and belief, no harmful levels ofrespirable asbestos fibers were emitted from ASI boiler products. See Objections and Response to Interrogatory No. 14. INTERROGATORY NO. 48: Does your company have, has it ever had, or have your predecessor(s) or subsidiaries ever had, a Research Department? If so, give the year such Research Department was established, and whether or not such Research Department has operated continuously since being established. State also: A. The amount of time and money expended each year on research concerning asbestos or asbestos-containing products? B. What percentage ofgross sales did your company or its predecessor(s) spend on research concerning the health effects of asbestos? C. State in detail the purposes, duties, and responsibilities or such Research Department. ANSWER TO INTERROGATORY NO. 48: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, harassing, vague, ambiguous, irrelevant and not reasonably calculated to lead to the discovery ofadmissible evidence. Subject to and without waiving such objections, not to present knowledge. INTERROGATORY NO. 49: Does your company have, has it ever had, or have your predecessor(s) or subsidiaries ever had, a Medical Department? If so, state: -34-F updoes 11592 discoverv'INREresponsetopIaimifFmierrogs&rip.OOl,wpd A. The year such Medical Department was established; B. Whether or not such Medical Department has operated con tin uously since being established; C. The name of each director, chief, or head of your Medical Department year by year, beginning with the first year you had a Medical Director or Medical Department, and the last known address and phone number of each; D. State the duties and responsibilities of such Medical Department. ANSWER TO INTERROGATORY NO. 49: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, harassing, vague, ambiguous, irrelevant and not reasonably calculated to lead to the discovery of admissible evidence. Subject to and without waiving such objections, while Defendant did not have a medical department, it is currently known only that Raymond Yerg was the medical director in 1981. INTERROGATORY NO. 50: Did your company or its predecessor(s) or subsidiaries ever place any warning directly on any of its asbestos-containing produce or on their packaging. If so, identify the product(s) and year said warning was first applied. ANSWER TO INTERROGATORY NO. 50: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, harassing, duplicative, vague, ambiguous, irrelevant and not reasonably calculated to lead to the discovery ofadmissible evidence. See also response to Interrogatory No. 14. INTERROGATORY NO. 51: Did your company or its predecessor(s) or subsidiaries ever stamp or place the name of the company, its initials, or any identifying logo on any of its asbestos-containing products? If so, please state the name brand names of such products, a description of such stamp or logo and the dates such were placed on the referred products. ANSWER TO INTERROGATORY NO. 51; Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly -35-F> wpdocs-11 S92'discoveryv|NREresponsecoplain!iffinterrogs&rfp.001.\vpd burdensome and not reasonably calculated to lead to the discovery ofrelevant and admissible evidence. It is not limited to a relevant product or time frame. Subject to and without waiving such objections, American Standard's name was placed on each boiler. Older boilers may say "American Radiator" and/or "Ideal". The Kewanee name appeared on each boiler from that former subsidiary. INTERROGATORY NO. 52: Has your company, or your predecessor(s) or subsidiaries, ever devised a research plan to develop, or actually developed or had developed, a product which did not contain asbestos and which could be substituted for one or more of your asbestos-containing products? If so, state the date that such research plan was begun and when such asbestos-free product was first placed on the market. ANSWER TO INTERROGATORY NO. 52: Defendant objects to this Interrogatory on the grounds that it is argumentative, assumes facts not in evidence, it is overly broad, unduly burdensome, harassing, vague, ambiguous, irrelevant and not reasonably calculated to lead to the discovery of admissible evidence. It is not limited to relevant products and time frames. Subject to and without waiving such objections, Defendant did not develop or manufacture asbestos products. It did not develop or manufacture insulation products. In some cases. Defendant's boilers contained asbestoscontaining components which were manufactured by others and incorporated into the boilers without material change. Commencing in the 1930s, medicaljackets were utilized to insulate and enclose boilers. Fiberglass began to be used in the place of asbestos in boilers in the 1940s. By the early 1950s, American Standard believes all boilerjackets insulated by it were insulated by fiberglass and mineral wool. By the 1970-72 time frame, many boilers no longer incorporated asbestos-containing gaskets, rope or packing. On information and belief, asbestos was removed from block and cement, by their manufacturers, by 1972. American Standard sold the Kewanee boiler assets to Kewanee Boiler Corp., an unrelated entity. In 1974, American Standard sold its hydronics division, which had conducted its remaining boiling business. INTERROGATORY NO. 53; Did your company or its predecessor(s) or subsidiaries ever recall any products containing asbestos from the market or stream of commerce? If so, state: A. All details of such recall; B. The name of the product recalled, including the reason for the recall and the names and current addresses ofthose individuals who determined that it should -36-F' wpdocsM I592`discovery'IKRresponsetop!aintiffinterrogs&rfp.001.wpd take place; C. The dates of recall; D. The purpose for the recall. ANSWER TO INTERROGATORY NO. 53: Defendant objects to this Interrogatory on the grounds that it is argumentative, overly broad, unduly burdensome, seeks irrelevant information and is not reasonably calculated to lead to the discovery of relevant admissible evidence. It is not limited to products at issue in this litigation, if any, or to a relevant time frame. Subject to and without waiving such objections, not to present knowledge. INTERROGATORY NO. 54: Before 1970, did you ever manufacture or sell products which did not contain asbestos and which could be substituted for your asbestos-containing products? If so, state the date such asbestos-free products were first placed on the market. ANSWER TO INTERROGATORY NO. 54; Defendant objects to this Interrogatory on the grounds that it is argumentative, overly broad, unduly burdensome, seeks irrelevant information and is not reasonable calculated to lead to the discovery of relevant admissible evidence. It is not limited to products at issue in this litigation, ifany or to a relevant time frame. Subject to and without waiving such objections, see Objections and Responses to Interrogatory No. 52. INTERROGATORY NO. 55: Have any products you identified in your response to Interrogatory Nos. 52 and 54 not performed as intended? Please list all such products that have not performed as intended. ANSWER TO INTERROGATORY NO. 55: Defendant objects to this Interrogatory on the grounds that it is vague, overly broad, unduly burdensome, not reasonably calculated to lead to the discovery of relevant admissible evidence. It is not limited to products at issue in this litigation, if any, or to a relevant time frame. Subject to and without waiving such objections, not to present knowledge. -37-Frwpdocs 11592'vdiscover\'MNRHresponselopIainu'ffin{erTOgs&rfp.00!.wpd INTERROGATORY NO. 58: Were the threshold limit values or maximum allowable concentrations inquired about in Interrogatory No. 57 for total dust, and not asbestos dust alone? ANSWER TO INTERROGATORY NO. 58: See objections and response to Interrogatory No. 57. INTERROGATORY NO. 59: State in detail what tests, if any, Defendant ever made with regard to the quantity, quality or threshold limit values of asbestos dust or particles to which workers were exposed while using, working with or around, or installing your asbestos-containing products. ANSWER TO INTERROGATORY NO. 59; Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, harassing, vague, ambiguous, irrelevant and not reasonably calculated to lead to the discovery of admissible evidence. It is not limited to products at issue in this case, the manner of alleged exposure(s) involved, the types of products producing the source of alleged exposure, nor is it limited in time. Subject to and without waiving such objections, see Objections and Responses to Interrogatory No. 8. INTERROGATORY NO. 60: Please state the following with respect to each expert witness you that you may call during trial of these cases. Please designate with specificity the expert witnesses that you will call, including: (a) The name, address, and job classification of each such expert witness; (b) The subject matter on which the expert is expected to testify; (c) The substance of the facts and opinions to which the expert is expected to testify and a summary of the grounds for each opinion; (d) Whether any person identified in subparagraph (a) above has provided a report or other documentation to you, and ifso, identify each such document or report; (e) Identify all documents that you have provided to each person identified in F-vwpdocs 11592'discovery<INRErcsponsetoplaintif71nterrogs&rfp.001,w'pd -39- response to subparagraph (a) above; (0 Describe in detail the education and work history of, and identify any books, treatises, articles, published and unpublished reports, studies or other scholarly works authored by any individual identified in response to subparagraph (a) above. Alternatively, in lieu of said response, attach a copy of a resume or curriculum vitae and a list of publications to your answers. ANSWER TO INTERROGATORY NO. 60: Objection. This request duplicated the Plaintiffs' request for disclosure and is thus an improper request. Subject to and without waiving the foregoing, see Defendant's responses to Plaintiffs' Request for Disclosure. Defendant will file its expert witness designation in accordance with the scheduling orders of the court and the Rules of Civil Procedure. INTERROGATORY NO. 61: Please state the name, present address and present telephone number, along with the experience and qualifications, if applicable, of each and every person, known to Defendant or to Defendant's agents, having knowledge of facts relevant to these cases involving, but not limited to: (a) identification of asbestos-containing products to which each and every individual Plaintiff, separate and distinct from all other Plaintiffs within the group, allegedly was exposed or facts disputing the identification of asbestoscontaining products in this case. (b) Each and every individual Plaintiffs separate and distinct from all other Plaintiffs within the group, alleged damages, injuries and/or facts disputing each and every Plaintiffs alleged damages and/or injuries; (c) the negligence of any person or entity other than Defendant which Defendant contends was a cause of each and every individual Plaintiffs, separate and distinct from all other Plaintiffs within the group, alleged injuries and/or damages; (d) each of Defendant's defenses enumerated in Defendant's last filed Answer in each of these cases. ANSWER TO INTERROGATORY NO. 61: Fi'wpdocs'l l592`discovery'lNREresponsetoplaintiffinterrogs&rfp.001.wpd -40- Defendant objects to this Interrogatory on the grounds that it is vague, overly broad and unduly burdensome, It is impossible to answer when Plaintiffs have not identified the products to which they were allegedly exposed. Subject to and without waiving such objections, discovery is continuing. Defendant will supplement in accordance with the Texas Rules of Civil Procedure. See Defendant's lay and expert witness designations. INTERROGATORY NO. 62: Please identify documents which will be used at time of trial, (Exhibit List, Deposition List), which are relevant to each of Defendant's enumerated defenses in Defendant's last filed Answer. ANSWER TO INTERROGATORY NO. 62: Defendant has not yet determined which documents will be used at a trial of this matter. Defendant will file its exhibit and designation lists in accordance with the scheduling orders of the Court and the Rules of Civil Procedure. INTERROGATORY NO. 63: When, if ever, did Defendant or any of its predecessor-in-interest first receive a copy of the article entitled "A Health Survey of Pipe Covering Operations in Constructing Naval Vessels", published in January, 1846 in the Journal of Industrial Hygiene & Toxicology, and authored by W. Fleischer and P. Drinker, et al ("the Fleischer-Drinker Report")? a. Identify the name and position of the employee or officer who received same; b. please produce all documents generated by Defendant which discuss or in any way reference the "Fleischer-Drinker" study prior to 1968; c. please produce all documents upon which your responses above are based; d. please identify the name(s) and address(es) of any persons(s) who can verify your above responses; e. did Defendant ever rely on the Fleischer-Drinker Report in whole or in part as a basis that Defendant's asbestos products could be used in the workplace without risk of asbestos-related health impacts to the consumer and/or bystander; f. if so, please produce every document which evidences in any way that F; wpdocs'l 1592kHscovcry'IN'REresponsetoplaimiffiiuerTOgs<&rfp.00Lwpd -41- Defendant relied on the Fleischer-Drinker Report in whole or in part for the proposition stated in Interrogatory No. 63(a) above; g. if your answer to 63(e) is yes, when was the first date Defendant relied on the Fleischer-Drinker report in whole or in part for the proposition stated in 63(e) above? ANSWER TO INTERROGATORY NO. 63: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, harassing, irrelevant and not reasonably calculated to lead to the discovery of admissible evidence. Subject to and without waiving such objections, American Standard has employed numerous persons over the course of the last century. It is unknown whether or when any employee might have received or reviewed the Fleischer-Drinker Report. This Defendant is aware of no corporate documents that discuss it. INTERROGATORY NO. 64: When, if ever, did Defendant or any of its predecessors-in-interest first receive a copy of the article entitled "A Study ofAsbestos in the Asbestos Textile Industry", published in 1938 in Public Health Bill, No. 241, U. S. Public Health Service and authored by W. C. Dreessen ("the Dreessen Report")? a. Identify the name and position of the employee or officer who received same; b. please produce all documents generated by Defendant which discuss or in any way reference the "Dreessen" study prior to 1968; c. please produce all documents upon which your responses above are based; d. please identify the name(s) and address(es) of any person(s) who can verify your above responses; e. did Defendant ever rely on the Dreessen Report in whole or in part as a basis that Defendant's asbestos products could be used in the workplace without risk of asbestos-related health impacts to the consumer and/or bystander; f. if so, please produce every document which evidences in any way that Defendant relied on the Dreessen Report in whole or in part for the proposition stated in Interrogatory 63(a) above; g. if your answer to 63(e) is yes, when was the first date Defendant relied on the -42-F* svpdocs'n592'discov*ery'lNRETesponsetoplaimifnmertogs&rfp 001,,\vpd Dreessen Report in whole or in part for the proposition stated in 63(e) above: ANSWER TO INTERROGATORY NO. 64: Defendant objects to this Interrogatory on the grounds that it is overly broad, unduly burdensome, harassing, irrelevant and not reasonably calculated to lead to the discovery of admissible evidence. American Standard has employed numerous persons oyer the course of the last century. It is unknown whether or when any employee might have received or reviewed the Dreessen Report. This Defendant is aware of no corporate documents that discuss it. REQUEST FOR PRODUCTION REQUEST FOR PRODUCTION NO. 1: Please produce a true and correct copy of each photograph of each asbestos-containing product identified in answer to Interrogatory No. 4. RESPONSE: Defendant objects to this Request for Production on the grounds that it is overly broad, unduly burdensome, harassing, irrelevant and not reasonably calculated to lead to the discovery of admissible evidence. Plaintiffs have not identified any specific American Standard asbestos containing boiler product to which they were allegedly exposed. Subject to and without waiving such objections, if Plaintiffs will specifically identify the boilers, if any, to which they claim exposure, Defendant will determine whether any responsive documents exist, by way ofcatalogs, brochures or manuals and will make same available for copying and inspection by plaintiffs' counsel at a mutually convenient time and date. REQUEST FOR PRODUCTION NO. 2: Please produce any diagrams or schematics indicating, stating or detailing the existence of any of your subsidiaries, predecessors, or divisions as defined on Page 1 of these Interrogatories and Request for Production. RESPONSE: Defendant objects to this Request for Production on the grounds that it is overly broad, unduly burdensome, harassing, vague, ambiguous, irrelevant and not reasonably calculated to lead to the discovery of admissible evidence. Subject t<~> and without waiving the foregoing, no known non-privileged documents are believed to exist. All privileged documents are core work product. -43-F:'wpdocsM 1592'discovery\INREresponsetoplaimifnnterTogsS:rfp.001 wpd Dated this the___day of June, 2000. Respectfully submitted, Germer, Bernsen & Gertz, L.L.P. By:_____ Ja State Bar No.: 15242500 805 Park Street Beaumont, Texas 77701 Telephone: (409) 838-2080 Telecopier: (409) 838-4050 ATTORNEY FOR DEFENDANT AMERICAN STANDARD INC. F:\wpdocsM 1592*'discoveryM NREresponsetoplainriffinterrogs&rfp.OO1,wpd -44- CERTIFICATE OF SERVICE This is to certify that a true and correct copy of the above and foregoing Defendant, American Standard, Inc.'s Answers to Plaintiffs' Master Set of Interrogatories and Request for Production, has been served by Certified Mail, Return Receipt Requested, postage pre-paid and properly addressed on Plaintiffs counsel of record on this ^_3j^day of June, 2000: Mr. Ben K. Dubose Baron & Budd, The Centrum, Suite 1100 3102 Oak Lawn Avenue Dallas, Texas 75219 CM/RRR Mr. Stephen Johnston Baron & Budd, The Centrum, Suite 1100 3102 Oak Lawn Avenue Dallas, Texas 75219 CM/RRR Ms. Melissa Hutts Baron & Budd, The Centrum, Suite 1100 3102 Oak Lawn Avenue Dallas, Texas 75219 CM/RRR Jai es R. Old, Jr. F:,wpdocs\l 1592\discoveryMNRErespotisetoplaintifTlnterTogs&rfp,OOI .wpd -45- VERIFICATION STATE OF NEW JERSEY COUNTY OF MIDDLESEX PERSONALLY APPEARED BEFORE ME, the undersigned authority in and for the jurisdiction aforesaid, the within named William R. Hedden, who, having been first by me duly sworn, stated on his oath that he signed the above and foregoing Responses to Plaintiffs' Master Interrogatories and Requests for Production for and on behalf of American Standard Inc., sued as American Standard Inc., and that he is duly authorized so to do; that the matters stated in the above and foregoing Responses are not solely within his personal knowledge, but that he is informed that there is no single officer of American Standard Inc. who has personal knowledge of all such matters; that the facts stated in said Response have been assembled by various employees, agents, representatives and counsel; and that he is informed and believes that the facts set forth in said Response are true and correct as herein stated. WILLIAM R. HEDDEN CORPORATE COUNSEL SWORN TO AND SUBSCRIBE My Commission Expires: 8HmtYA. VTCKERMAN, NOTARY PUBUC 8w*of Now Jarety, No. 2169163 C:\MyFiIes\American Standard\Texas\TX - Response to Interog for all asbestos cases (Murphy) revised.wpd -56- ATTACHMENT "A" Information Sheet Regarding American Standard Heating Products Containing Asbestos Components Please note that only those furnaces, winter air conditioners, boilers/bumers as to which there is current verifiable information of an asbestos component at one time are included in this list. 1. A-3, A-5 and FR-A-3 OIL FIRED BOILERS Manufactured from approximately 1963-1973. Burner Pressure Plate insulation was composed of wire woven asbestos cloth. The hanger-mount in the burner contained asbestos tape. It is believed that the tape was supplied by Johns-Manville. May have also contained asbestos gaskets. 2. A-7 OIL/STOKER/HAND-FIRED BOILERS Manufactured from approximately 1955-1973 The combustion chamber base was composed of 1" asbestos board. May have also contained asbestos gaskets. 3. APH OIL BOILER, WATER ONLY SERIES IB Manufactured from approximately 1963-1965. The combustion chamber (retainer) contained 1/4" asbestos air cell corrugated paper with aluminum foil on flat side. The paper was purchased from Grant Wilson, Inc., Chicago, Illinois. May have also contained asbestos gaskets. 4. ARCOLINER OIL-FIRED WET BASE BOILER Manufactured from approximately 1946-1950. A layer of air cell asbestos insulation was placed beneath the flush metal jacket of the boiler. 5. EMPIRE GAS BOILER Manufactured from approximately 1928-1950. Jacket insulated with aircell asbestos insulation. 6. SUNBEAM ARLINGTON, CLIFFDALE AND ALLERTON FURNACES Contained asbestos gaskets and asbestos rope on burner mount. Coal hand fired Arlington steel pipeless furnace (but not Arlington steel pipe or Arlington square steel pipe furnaces) also contained asbestos cement 7. SUNBEAM KENWOOD FURNACE Contained asbestos paper and cement. 8. G-2 GAS BOILER Manufactured from approximately 1957-1974. The boiler jacket canopy was sealed with 1/4" asbestos wick packing, which was purchased from Johns-Manville or Janos Asbestos Company. May have also contained asbestos gaskets. 9. G-60 GAS BOILER Manufactured from approximately 1960-1968. The cover plate was sealed with 1/2" diameter integral asbestos rope gasket, supplied by Johns-Manville. May have also contained asbestos gaskets. 10. GPH PACKAGED GAS-FIRED BOILERS Manufactured from approximately 1963-1969. The canopy was sealed with Johns Manville Besto-Tac adhesive asbestos tape or approved equivalent. May have also contained asbestos gaskets. 11. GPMX and GPM PACKAGED-FIRED BOILERS Manufactured from approximately 1968-1974. The canopy was sealed with an integral asbestos gasket for gas tight seal. May have also contained asbestos gaskets. 12. GPR GAS BOILER (WATER ONLY) SERIES 1B Manufactured from approximately 1962-1964. The canopy was sealed with 3/8" wide and 1/16" thick asbestos tape. May have also contained asbestos gaskets. -2- 13. PFA-3 STEAM OR HOT WATER BOILER Manufactured from approximately 1969-1974. Contained asbestos gaskets. The Clean-Out Radiator Shield assembly was lined with asbestos air cell corrugated paper with .001 aluminum foil on the flat side. 14. V-3 OIL-FIRED BOILER-BURNER Manufactured in 1974. Asbestos tape used on burner plate. 15. MOHAWK, WINTERWAY AND CHIPPEWA WINTER AIR CONDITIONERS Contained asbestos wick packing and gaskets. 16. JACKETS FOR IDEAL TYPE A 23" AND 29" BOILERS Manufactured approximately 1920-1925. Lined with 16 ply air cell asbestos, reinforced on both sides with 1/8" asbestos board. 17. JACKETS FOR IDEAL WATER TUBE 23" AND 29" BOILERS Manufactured approximately 1923-1947. Lined with 16 ply air cell asbestos, reinforced on both sides with 1/8" asbestos board. 18. JACKETS FOR IDEAL SMOKELESS BOILERS 29" Manufactured 1925. Lined with 16 ply air cell asbestos, reinforced on both sides with 1/8" asbestos board. 19. KEWANEE FORCED DRAFT SCOTCH PACKAGE UNIT Manufactured 1960. Contained asbestos packing. 3- - j. 20. KEWANEE-PETRO BOILER BURNER UNIT Manufactured 1964. Doors sealed by a riveted asbestos tape gasket. 21. JACKETS FOR KEWANEE TYPE "R" BOILERS Manufactured 1937. Jackets lined with multi-ply asbestos insulation. 22. KEWANEE SQUARE "R" BOILER Manufactured 1952. Doors sealed with asbestos rope gasket. 23. KEWANEE TYPE "C," "M" AND "R" BOILERS Upon information and belief, these boilers may have contained rubberized asbestos gaskets, asbestos rope and/or asbestos packing. 24. ARCOFLAME OIL BURNERS Burner pedestal mounting contained asbestos. JEC ASI/Attachment A 06019S -4- f. C; 'AMERiCAN-^tandard AMCftlCAN tAOIATQt & SfANDAtO $ANIUT COC^OtATtOM >i EAST CENTRAL REGION ATLANTA DISTRICT ABAMA FLORIDA Amstan Supply Division P. O. Box 1871, 503 S. 22nd St. Birmingham, AL 3 5 2 33 pGbJ,tt McV'jr^tJ AT-A 0026-00000 Horne-Wilson, Inc. 2404 WAS. -620 S. Woodward St. Tallahassee, FL 52304 AT-A u,, . iVitl'r 0110-32550 Noland Co. , Inc. Box 1352, 2204 1st Ave. , Souths , Vs in? Birmingham, AT-A 0027-44467 AL 35233 t. 3 r o c cr 5 i ca r<t p. H. ATurpiiy P'tff. P 4 H CcaL /? f. J t cK. C.1 . Ctwi^re// Noland Co. , Inc. Box 1847, 616 Decatur, AL Church St. , 35601 N. E. J"} > < s' Ch.*< C/*/. , A^-A. k'e.enum 0061-44473 Noland Co. , Inc. Box 860, 256 South 4th St. Gadsden, AL 35901 5V.- ey Tlnti"/ i'vi T 0067-44478 S" J - - -.'c- /' = < Noland Company, Inc. Box 11026, 1250 East South Blvd. Montgomery, AL 36111 t-'"- '-s.,-- L/ AT-A 0132-44490 vj, ^ ;'c > o: c.r C !'' .C\^J,A g.!-la . Z } r . /v' ^ i Ci C l-l-7o Paine Supply Corp. Drawer O, 100 Columbia Avenue Sheffield, AL 35660 AT-A 0063-45970 Cole Supply Co. Box 1420, 520 22nd Avenue Tuscaloosa, AL 35401 AT-A 0158-.16880 ; GEORGIA Horne-Wilson, Inc. P. O. Box405, 211 Roosevelt Ave. Albany, GA '31701 x AT-A a 0100-32550 -7a Marbut Co. - Box 309, 120 Oneta St. Athens, GA. 30601 `AT-A 0005-40330 tuI. c C c. /V* tfl Cowan Supply Co. 485 Bishop St. , N. W. Atlanta, Ga. 30318 AT-A 0010-17870 ^ u T j-r/* *' -c;/ l/C1 " ; <r r /J rt /- * ?** Horne-Wilson, Inc. 163 Peters St. , S. W. Atlanta, Ga. 30313 ' AT-A 0011-32550 C. J- cy r- . ' - r Itf V- e- /r cV.fi Noland Company, Inc. 512 Spring St. , N. W. Atlanta, Ga. 30308 AT-A 0012-44465 S C, c- ; j 'c n i < rav'/ s Marbut Co. Box 1544, 30^903 1251 New Savannah Rd. Augusta, Ga. 30901 AT-A . .. 0156-4033 0 3 c c. L AT-1 EAST CENTRAL REGION ATLANTA DISTRICT GEORGIA GEORGIA (Cont'd) Noland Co. , Inc. 556 Reynolds St. Augusta, GA 30902 AT-A 0024-44466 ^: r" McKenna Supply Co. Box 3428, Sta. A, 600 W. 51st St. Savannah, GA 31405 AT-A 0096-41020 t h rn Gesr.* * :a c *' **-> y r r Gjf Marbut Co. Box 1237, 1700 First St. Brunswick, GA 31520 AT-A 0160-40330 Marbut Co. Fs a 858, 321 S. Oak St. Valdosta, GA 31601 AT-A 0105-40330 ferry C r e s ; 8 r> / Co r- c c / 7-v , " c ! Hajoca Corp. Box 428, 1301 Sixth Ave. r vr. //C/ -T,, Columbus, AS 31901 fi.N.&orAy AT-A 0055-30260 NORTH CAROLINA Hajoca Corp. '30 Bryson St. Asheville, NC z. S / // Ci" /? ; ' : -- . yi <--r ' AT-A City Plbg. &t Htg. Sup. Co. 0001-30252 206 College Ave. , S.E. Gainesville, GA 30501 Hajoca Corp. AT-A Box 1336, 3000 S. Tryon St. 0007-16585 Charlotte, AT-A NC 28209 j,,,. F O ** *1'2-70 Z. PoRUm, w\<`- Marbut Co. Cs'r.- - 0 0035-30257 Box 4608, 454 Terminal Ave. " A ,r Macon, GA 31201 H, U->y^t^ AT-A , - S> 1 0089-40330 J^ cfX/ v*",-j o ?'ls . Horne-Wilson, Inc. I- . r - r _ Box 969, 1210 N. Tryon St.j; f. 5':rnr ' . V. Charlotte, NC 28201 Ofc * * . o AT-A Isfo land Co* , Inc. ^ v c ^ i/ & ( 0036-32550 Box 4687, 560 Broadway ^-n--? o Macon, GA. 31201 SOUTH CAROLINA AT-A 0090-44486" Standard Wholesale Supply Co. Box 253, 112 E. Mauldin St. Noland Company, Inc. 109 Clay St. fit'J Anderson, SC 29621 AT-A Marietta, GA 30060 0074-57400 AT-A 0015-44487 Sullivan Hardware Co. . Box 17 7, S. Main St. Anderson, SC 29621 AT-A 0075-58000 AT-2 EAST CENTRAL REGION ATLANTA DISTRICT SOUTH CAROLINA SOUTH CAROLINA (Cont'd) Noland Co. , Inc. Box 7286. Charleston Heights, SC 2026 Meeting St. 0030-44469 Charleston, SC 29405 laj. t r. a' /7 r . Pcut t ll^i 'oKv .- PS h, c^-ttp. 1s5, r - x_a_ n-,`1- .7) Barkley Bilbro Supply Co. Box7245. 3350 Old Meeting St. Rd. Charleston Heights, SC 29405 AT-A 0029-12300 Toc uJ Av*-r\ T Cf $.1 ! p`:. > d 1 Sullivan Hardware Co. 5535 Sta. B (Mail) 200 Indl. Dr. Greenville, SC 2#9607 AT-A 0080-58050 Noland Co. , Inc. I an c K' ' 1 t . c. Box 1565, 717 Union St. M r. vtt Spartanburg, SC 29301 j> c. . ^ w ir.cr AT-A 1 . C , (a O v x ^ l1 _ 0085-44497 Noland Company, Inc. TENNESSEE P. O. Box 719 (D), 730 Elmwood Ave. Columbia, SC 29201 -^'tr P. v-' t > a ,i- .s f -7> < Hajoca Corp. Box 351, 515 E. 11th St, r. c. ~C-.*/ 0048- 44472 ct ^ 1 -or-7<(o C. . P is Pt Southern States Supply Co. *Vr- ''Chattanooga, TN 37403 '"s- AT - A -r t ; / o. T a c ` . I-o 0041-30258 Box 968, 1818 Blanding St. Columbia, SC AT-A 0049- 55950 29201 _ P. tu- 5c*r^ prcs- r-H-LI JayCii //.O'. C.V- c :/ Noland Co. , Inc. ~ Box 1298, 1724 Central Ave."1 Chattanooga, TTTN-J 37408 ^ AT-A r'.\. t v r .. h/z S Noland Co. , Inc. 413 N. Irby St. Wc/ir; S> r .. ' /r , Gx.rAn n-l-^ 0043-44471 G V'O 7- 7 ; F. lmore.nce, SC AT- A 0066-44476 29501 an /. cToT. vrc p. C* . -> U r ( i y Amstan Supply Division Box 117, 714 Willow Ave. Knoxville, TN 37915 AT-A a /} ^ ' C o' c; Southern States Supply Co. 0115-00000 Box 228, 190 Sanborn St. aiRS. Florence, SC 29501 Willis Supply Co. AT-A 0065-55950 Box 3126, 1132 Sixth Ave. , NE Knoxville, TN 37917 ,, , u. Standard Wholesale Supply Co. AT-A 0117-66650 st\ -i i & n / . u/11 pt r Drawer H. Branwood Sta. U. S. Alternate 123 Greenville, SC 29610 ivy -1' 1 r-' - Amstan Supply Division AT-A C-n i Box 799 37202, 1700 Church St. 0079-57400 Nashville, TN 37203 AT-A oi36-ooooo AT-3 EAST CENTRAL REGION ATLANTA DISTRICT TENNESSEE ( Cont'd) Noland Co. , -Inc. ' Box 729, 72 Trimble St Nashville, TN 37210 AT-A 0139-44491 B l C.(l fc. V l fijSSf/' JL*- n /*1 /ffsl r A* r . C3 r ^ c7c_r-r-/ Brec-'cy C ff!' ? ( AT-4 EAST CENTRAL REGION BALTIMORE DISTRICT MARYLAND (Cont'd) MARYLAND (Cont'd) Frederick Trading Co. Box 400, 225 East 8th St. Frederick, MD 21701 BA-A 0681-24600 Speakman Co. Box 261, South Salisbury Blvd. Salisbury, MD 21801 BA-A 0650-56200 Noland Co. , Inc. Box 700, 300 Scholl's Lane Frederick, MD 21701 BA-A 0684-44477 Noland Co. , Inc. ^. t- . Sf 0.M' Box 728, 1016 Virginia Ave. p"' Wur ,e/^ Hagerstown, MD 21740 T-B. ( BA-A 0684-44479 The Reichard Supply Co. 140 S. Potomac St. Hagerstown, MD 21740 BA-A 0'686-50650 VIRGINIA Raub Supply Co. Box 940 Winchester, VA 22601 BA-A 0689-50350 Western Maryland Supply Corp. Box 887, Beau St. & Ohio Ave. Winchester, VA. 22601 BA-A 0692-65600 Western Maryland Supply Co. Box 678, 817 Main Ave. j ^ Hagerstown, MD 21740 BA-A 0688-65600 j/ e Raub Supply Co. bf ' c<2'v' Drawer C, 3 1/2 miles North on Route 1 Laurel, MD 20810 BA-A 0645-50350 Shore Distributors, Inc. Box 2017, Brown Naylor Sts. Salisbury, MD 21801 BA-A 0649-54800 5x.Uy Ph.if,ps t Oj . t> &.y / S . C(ry> fyl Cr C fX / S *r t ,, {-!*.>'T C, - ~ ' ri f J BA-2 WEST CENTRAL REGION DALLAS DISTRICT TEXAS TEXAS (Cont'd) West Texas Wholesale Supply Co. Box 1020 79604, 401-409 Plum St. Abilene, TX 79601 DA-B 8100-65400 "Southland Supply Co. ,Inc. Drawer G, 75021, 607 S. Mirick Ave. Denison, TX 75020 DA-B 8140-56100 Amstan Supply Division Box 1306 79105, 1400 W. 6th Ave. Amarillo, TX 79101 DA-A' 8108-00000 Amstan Supply Division Box 1135, 76101 - 101 E.Industrial Fort Worth, TX 76111 DA-A 8155-00000 Chas. Hogan Plumbing Supplies Box 1487 79105, 708-720 W 5th Ave. Amarillo, TX DA-B 8109-32100 Weakley-Watson L>*d*. BuferA h-i-l* Box 1309 7680A, 100-105 Fisk St. Brownwood, TnX 76801 J\ <T? , tO . & ifi*rc j DA-A />?.k v. C/j^ri/'cr 8134-64500 /frs' Jahns Supply Co. Box 1717 76101, 2532 Cullen Fort Worth, TX 76107 Aldic' e UJtt'st' \ DA.-A. (Tlrn . 8153-34650 rs, Oct/I /?<>' "JoKhi t-'ic-"1 o Weakley-Watson 2305 Avenue H "j*; Lubbock, TX 79404 DA-B ,3^ r.c / O'"*1 e 8179-64500 Amstan Supply Division Box 10247, 1501 N. Industrial Blvd. Dallas, TX 75207 g.,-.y G,tcAc.r DA-A 8146-00000 Jahns Supply Co. Box 35666, 2411 Shore Crest Dallas, TX 75235 DA-A 8141-"3?S5- 3Llu>M'cj1 " Hu l-vriS Southland Supply Co. , Inc. /30b Pen-ori* Box 2011 (75221) 2034 Amelia St. Dallas, TX 75235 DA-A `\ /nt-U*Key 8148-56100 A>,S ^Olr.y Ho'^cS. /0-7-f-i Westway Supply Co. ,Inc. Box 231 79408 - 130 E 42nd. St. Lubbock, TX 79404 _ )A_]3 R-t-'f 0 ffiH S#n 8175-65950 Weakley-Watson Box 5025, 79702, 11 Industrial Loop Midland, TX 79704 DA-B 8112-64500 Hunt Plbg. , Co., of Mt. Pleasant Box 541, 310 E. 9th St. Mt. Pleasant, TX 75455 DA-B 8199-33200 DA-1 WEST CENTRAL REGION DALLAS DISTRICT TEXAS (Cont'd) TEXAS (Cont'd) Hunt Plbg. Sup. Co. , of Nacogdoches Box 908, 223 W. Main St. Nacogdoches, TX 75961 DA-B 8206-33200 The Rohan Co. , Inc. Box 7337, 5000 Franklin Ave. Waco, TX 76710 DA-B Bt 11 13 y ion 8212-52200 Hunt Supply Co. , Inc. Drawer 111, 122 N. Church St. Nacogdoches, TX 75961 DA-B ' 8206-33200 Amstan Supply Division Box 2530 76307, 3710 Callfield Rd. Wichita Falls, TX 76308 DA-A 8214-00000 Simmons-Huggins Supply Co. , Inc. Box 1790, 425 N. Randolph St. San Angelo, TX 76902 DA-A f/, R. *7r 5 ' 8197-35000 Johns on-Burks. Supply Co. , Inc. Box 936 75091, 702-6 E. Lamar St. Sherman, TX 75090 DA-B 8197-35000 Hunt Plbg. Sup. Co. of Texarkana Box 44 75502, Fourth St. fit Ward Texarkana, TX 75501 DA-B 8204-33200 ujtn. h Southland Supply Co. , Inc. Box 2015 75702-316 S. Glenwood Blvd. Tyler, TX 75703 P, Penn DA-A 8209-56100 DA-2 PACIFIC REGION TEXAS DENVER DISTRICT Amstan Supply Division Box 3056, 79923, 160 M. Piedras St. El Paso, EX 79905 DV-A 8157-00000 Consolidated Electrical Distributros Box 137, 7994i, 2000 Texas St. El Paso, TX 79901 DV-A 8158-17280 OVJi *i c . bo.7 y r' * J~o b. -v r t Hi*, v r y L(Jlt i "f c? WYOMING N. O. Nelson Co. 802 East "C" St. Casper, WY 82602 DV-A 2707-43920 opt>et Big Horn Plumbing Supply Co. 232 Grinnel Ave. Sheridan , WY DV-A Vi c S/^cK 2765-13170 jOcv jAtxx-* ** C&Yis J i4.4-c <L Hie c/fr `c<l| S&rrta. .'. t f) .M . nsbi &U - 6 61 C~ n a* S' dv-2 EAST CENTRAL REGION FLORIDA DISTRICT FLORIDA FLORIDA (CONT'D Peerless Florida Co. , Inc. Box 1200, 1419 S. Greenwood Clearwater, FL 33516 FL-B 0415-46300 Noland Co. , Inc. Box 4610, 929 E..Bay St. Jacksonville, FL 32202 FL-A 0084-44482 Gorman Co. of Daytona Beach Box 2139, 721 Ballough Road Daytona Beach, FL 32022 FL-A 0059-27007 fj*' 4 , Pr - v' cf" Gorman Company of Melbourne 330 Fee Avenue Melbourne, FL 32901 Mt.Hars. FL-B 0177-27009 Bond Plbg. Supply, Inc. 430 N. Flagler Drive Fort Lauderdale', FL 33301 FL-B 0400-13890 Bond Plbg. Supply. Inc. 1250 N. W. 23rd St. Miami, FL 33142 !'fl-b .. 0403-13890 Monmouth Plbg. Supply Co. , Inc. Drawer M So. Broward Sta. 1909 SW 1st Avenue A!/?. Kr. 3-0 I Fort Lauderdale, FL 33315 FL-A 0401-42640 Horne-Wilson, Inc. Box 52-156, 3401 N. W. 31st St. Miami, FL 33142 . FL-A 0404-43550 *<- f-ionAU/ por L'rfc/ Castle Supply Co. , Inc. 2581 Palm Ave. Fort Myers, FL 33901 FL-B 0414-15700 Monmouth Plbg. Supply Co. , Inc. Box 3350, 63-79 N. W. 9th St. Miami, FL 33101 FL-A 0406-42640 Horne-Wilson, Inc. 2345 Union St. Fort Myers, FL 33901 FL-A 0412-32550 Gorman Company of Ocala Box 1647, 614 N. Watula St. Ocala, FL 32670 FL-B 0064-27010 Horne-Wilson, Inc. H-C- - ii-.. c. . * Box 1828, 745 W. Forsyth St. u.. 7. r-. Jacksonville, FL 32204 Ci>\ : ' FL-A 0083-32550 ^<ir ' Bond Plbg. Supply, Inc. 1301 Atlanta Avenue Orlando, FL 32806 FL-B 0168-13890 FL- 1 EAST CENTRAL REGION FLORIDA DISTRICT FLORIDA (CONT'D) FLORIDA (CONT'D Horne-Wilson, Inc. Box 952, 1111 Virginia Dr. Orlando, FL 32803 FL-A 0167-32550 Wif- Monmouth Plbg. Supply Co. , Inc. Box 2585, 437 Iris St. West Palm Beach, FL 33410 FL-A 0431-42640 Southern Pipe & Supply Co. (Div. of Hajoca Corp. ) Box 3749i 630 W. Church St. Orlando, FL 32802 FL-B0173-55947 Bond Plbg. Supply, Inc. 811 - 27th Street West Palm Beach, FL 33407 FL-B 0432-13890 Palmetto Pump & Irrigation Co. , Inc. Box 127, 841 - 7th Avenue Palmetto, FL 33561 FL-B 0411-46091 Castle Supply Co. , Inc. 226 - 15th St. , North St. Petersburg, FL 33705 FL-B 0419-15710 Horne-Wilson, Inc. Box 7186, 2440 - 30th Ave. , N. St. Petersburg, FL 33713 FL-B 0421-32550 Castle Supply Co. , Inc. Box 1634, 425 School Ave. Sarasota, FL 33577 FL-B 0423-15710 Horne-Wilson, Inc. Box 2802, 223 - 12th St. Tamoa, FL 33602 FL-A 0427-32550 - > - FL- 2 WEST CENTRAL REGION HOUSTON DISTRICT TEXAS TEXAS (ConUd) Amstan Supply Division Box 1966, 78767 - 401 E. Austin, TX 78701 HU-A 0300-00000 2nd St. Bush Supply Co. Box 1420, 78502, 2221 Austin St. McAllen, TX 78501 HU-B 0310-15030 Hunt Plbg. Supply Co. of Conroe Box 36, 100 S. First St. Conroe, TX 77301 HU-B 0325-33200 . ^ i'V y Standard Plbg. Sup. Co. Box 7009, 2833 Holly Road Corpus Christi, TX 78415 HU - B A! wvi / n P- 'y ^ 0315-56720 W. c. l/rlnaT J* Bush Supply Co. Box 1951 , 78551, 1101 W. Jackson St. Harlingen, TX 78550 f HU-B V- ' 0312-15030 .San Antonio; ::hi%d:: , :Qi3S^1057(>' '7820 5 Amstan Supply Division Box 1809, 78206, 1101 Broadway San Antonio, TX 78215 HU-A 0336-00000 i Mars Plbg. Supply Co. Box 7448, Sta. A. 1103 S. Frio San Antonio, TX 78207 HU-B 0339-40390 Amstan Supply Division Box 1969, 77001 - 419 Dowling St. Houston, TX 77003 HU-B 0327-00000 ' Gulf Plumbing Supply Co. Box 445, 77001, 2221 Pease Houston, TX 77003 HU-B 0328-28750 Service Supply of Victoria, Inc. Box 1519, 77903, 1319-25 Goliad Dr. Victoria, TX 77901 HU-B 0343-54100 Se V c v-freis0 riR , 'aSffC/'-rf no 07 ' Z'oifrt i ~Wo 1 ttoA-b 'i ^ Plumbing Supply Co. Box 2009, 77001, 2600 Texas at Live Oak Houston, TX 77005 1 ,JY 5 -- HU-B / /' ' ; 0329-47140 ....., ' HU-l 5* i o' '0? uts/ i v, /S6TU - A4 -CfiforUb' A-Scin n-tno 1 () r 07,47 SH\^ EAST CENTRAL REGION NEW ORLEANS DISTRICT ALABAMA ,. : j>'< Npland Company (J* Box 7217, 36607, 93 Sidney Phillips Dr. Mobile, AL 36610 Gc://v NO-A UJ- ~ > - ' 5184-40690 ARKANSAS ?o v /^c> 1'-`41' The American Supply Corp. Box 1071, 71731, 1304 E. Hillsboro El Dorado, AR 71730 B 5188-11170 Cers.V C , C ' ' ' FLORIDA Chas. A. Born Co. > Box 1985, 32502, 150 E. Chase St. Pensacola, FL 32 501 NO-A .5, - c 5208-13980 LOUISIANA The American Supply Co. , Inc. Drawer 5585, So. Pk. Sta. , 3333 Bway. Alexandria, LA 71303 NO-A <T.S'^s-cor .Y.V.. .-'a*. D//- 5100-11140 'M,k- Htnfin Baton Rouge Plbg. Sup. Co. Box 1567,' 6425 Greenwell Springs Rd. Baton Rouge, LA 70806 NO-B 5107-12430 Harry Cash Co. ,Inc. Box 946, 70821, 2312 North 21st St. Baton Rouge, LA 70802 NO-B 5106-15650 LOUISIANA (Cont'd) Farris Plumbing Supply Co. 1900 W. Main St. Hourria, LA NO-B 5202-23400 American Supply of Lafayette, Inc. 1104 Oil Center Station, 70505 214 Pinhook Rd. ,. Lafayette, LA 70501 NO-B 5109-11230 Craft-Rushworth, Ltd. Box G, 1920 Ryan St. Lake Charles, LA 70601 NO-A 0390-17900 Weaks Supply Co. , Ltd. Box 1572, 71203, 200 N. 4th St. Monroe, LA 71204 --v. o . V. S' , a t>: NO-A u.,v. - - , .- 5190-64550 Amstan Supply Division Box 13098, 1120 S. Jefferson Davis Pkwy. New Orleans, LA 70125 NO-A 5201-00000 Bolton Plbg. Sup. , Inc. 1995 Gentilly Blvd. New Orleans, LA 70119 NO-B 5205-13870 Harry Cash Co. ,Inc. 811 Daniel Street Kenner, LA, 70062 NO-B 5204-15650 NO-1 EAST CENTRAL REGION NEW ORLEANS DISTRICT LOUISIANA (Cont'd) MISSISSIPPI (Cont'd) Amstan Supply Division Box 3546 - 71103 2307 Texas Ave. Shreveport, LA 71101 NO-A 5214-00000 Weaks Supply Co. , Ltd. Box 3037, 1617 Texas Shreveport, LA 71103 NO-B 5217-64550 A,P. Vast*! ?* i r> General Sup. - & Mach. Co. Box. 230, 208-19th Ave. Meridian, MS 3 9302 NO-S fl 5179-26250 Weaks Supply Co. , Ina. (of Mississippi) Box 1228 39121, 109 S. Broadway Natchez, MS 39120 NO-B r f . 5111-64600 MISSISSIPPI Delta PIbg. & Elec. Sup. Co. , Inc. Box 284, 38931, 824 1/2 Carrollton Ave. Greenwood, MS 38930 NO-BA 5143-20850 Paine Supply Co. Box 1150, 39502, 21st St. at I. C.R.R. Gulfport, MS 39501 NO-B 5116-45940 Paine Supply Corp. Box 1009, 38802, 203 Elizabeth Street Tupelo, MS 38804 p - ij . no-a 5224-46000 n '/JrJ .&***-- Paine Sup. Co. of Pascaqoula, Inc. Box 1326 Main Sta. ,111 Market St. Pascagoula, MS 39567 NO-A 5117-45945 Paine Sup. Co. , of Hattiesburg, Inc. Box 1874, (39402), 1502 N. Main Hattiesburg, MS 39401 NO-B. A 5150145930 Noland Co. , Inc. 3260 (39207), 1350 Highway 80 West Jackson, MS 39204 j, /)yrcn<Av NO-A 5159-44481 - .? J -fr A.'jir.Z* 6 : 'I-'' V-" r' NO-2 EAST CENTRAL REGION PITTSBURGH DISTRICT OHIO PENNSYLVANIA (Cont'd) The Standard Supply Co. P.O.Box 119, 1004-12 Findlay St. Portsmouth, OH 45662 PH-A 6375-57300 Amstan Supply Division 1315 Ridge Ave. C//rX- Pittsburgh, PA 15233 PA-A 6328-00000 PENNSYLVANIA Amstan Supply Division P.O.Box 271, 1601-17 S. Branch Ave The W. G.Balph Co. UJ *n . * I p h 311 Brushton Ave. : Z-jth , Re f r o j'} Pittsburgh, PA 15221 //< ri s PA-A C h Altoona, Pa. 16602 6332-12210 PH-A 6300r00000_______ - "Tinn S"c A b Anchor Supply Co. Ro S <? A', ; f i c 7*,c.* /Ve i~ * Box 8567, Pittsburgh, Pa. 15220Vrs. M*.*/ e Hope Hollow Road, Carnegie, PA. 11' PH-A lS/6`. PjCS CieSZiC : U/C f 6330-11320 C . v . c. I w u i. i c t / r/"c.Cr<-evy Amstan Supply" Division Eckstein Co. 1525 Beaver Ave. Pittsburgh, PA 15233 PH-A 6335-22200 Fort Pitt Sup. Co. /rLbf- 1021-29 East Ohio St. P*-' * Pittsburgh, PA 15212 I '7 Oak & Murdock Johnstown, PA 15902 A l 2., Coi rev PH-A 6336-24300 PH-A 6301-00000 VIRGINIA " The Fischler Co. 76. C y H Box 988, 1900 Butler Rd. New Castle, PA 16101 PH-A 6349-23750 e <Z Buchanan-Williamson Sup. Co. P. O. Box 933 Grundy, VA 24614 PH-A 6308-14790 Amstan Supply Division 6587 Hamilton Ave. Pittsburgh, PA 15206 PH-A 6329-00000 WEST VIRGINIA Bluefield Supply Co. _Mercer & Bluefield Aves> G- d. .cai.vc Bluefield, WV "24701 //,-.-=. cj, PH-A An<?/, 6306-13830 -r ' ; ~ \ ji ney JV PH -1 '7 EAST CENTRAL REGION PITTSBURGH DISTRICT OHIO PENNSYLVANIA (Cont'd) The Standard Supply Co. P.O.Box 119, 1004-12 Findlay St.. Portsmouth, OH 45662 PHrA 6375-57300 Amstan Supply Division 1315 Ridge Ave. c//A- Pa Pittsburgh, PA 15233 PA-A 6328-00000 ^ PENNSYLVANIA The W.G.Balph Co . VU Vrv . yv/ph 311 Brushton Ave. Mx: Rjfh c. o ^ Amstan Supply Division P.O.Box 271, 1601-17 S. Branch Ave. Pittsburgh, PA 15221 PA-A C. h * ' Altoona, Pa. 16602 6332-12210 PH-A 6300r00000....... ...... - V/zv, c ,1 O. b Anchor Supply Co. R o s <? Lc i z f i c /'/e A f Box 8567, Pittsburgh, Pa. 15220^^. (2 Hope Hollow Road, Carnegie, PA l/tc ' PH-A JS'/H pJCS Cveuy / ,- c. ^ 6330-11320 C . v . St ;/ . Huff.1; /V c.Grte Amstan Supply" Division Eckstein Co. 1525 Beaver Ave. Pittsburgh, PA 15233 PH-A 6335-22200 Fort Pitt Sup. Co. 1021-29 East Ohio St. Pittsburgh, PA 15211 I .'C-` Y * V Oak (k Murdock Johnstown, PA 15902 /? / 2 . C u i TC PH-A 6336-24300 PH-A 6301-00000 VIRGINIA The Fischler Co. Tii. c. k H ^v- c t q Box 988, 1900 Butler Rd. New Castle, PA 16101 PH-A 6349-23750 Buchanan-Williams on Sup. Co. P. O. Box 933 Grundy, VA 24614 PH-A 6308-14790 Amstan Supply Division 6587 Hamilton Ave. Pittsburgh, PA 15206 PH-A 6329-00000 WEST VIRGINIA Bluefield Supply Co. L.fcntnr. . Mercer & Bluefield AvesV- & R. -.c&i Bluefield, WV 24701 C(..| //&/.-'=( sj, PH-A 6306-13830 /H, Ane/, zn-v.- \1)r,ey .7r. PH-1 . /< EAST CENTRAL DISTRICT RALEIGH DISTRICT NORTH CAROLINA (cont'd) VIRGINIA Longley Supply Co. Drawer 3545, 2118 Oleander Drive Wilmington, NC 28403 -tRA-A r ^ ortfC' 6642-39100 Hajoca Corp. Box 1657, 213 Commerce St. Danville, VA 24540 RA-A 7924-30261 Noland Co. , Inc. P.O.Box 407., 615 N. Tarboro St. Wilson, NC 27894 RA-A 6637-44498 ^ i1 Noland Co. , Inc. Box 1120, 320 Page St. Lynchburg, VA 24505 RA-A 7891-44485 Z. d?. J~a o e - J^ord /?.//,, Si a <r 'r Noland Co. , Inc. f'' Box 4716 Waughtown Sta. , 2100 Glendale St. Winston-Salem, NC RA-A 6646-44499 27107 <f,C. P ,tJ . C Or. ye. cl T.ti. C. v ~ c y h1 SOUTH CAROLINA Longley Supply Co. , Incorporated Box 407, North 8th Ave. Myrtle Beach, SC 29577 RA-A 6640-39000 SOurUCRAf STATE II H. S4M(?oR<vj ST. TENNESSEE ^a~wsktjiveK/ Tu OR ClJ ca/ s.c. Noland Co. , Inc. J- > /) ,J~* A t\ Of/'/c? ^fr Box 90, Walnut & Watuaga Ave. Johnson City, TN 37601 C.C.Qovo^- RA-A 7929-44483 ^ Noland Co. , Inc. Box 746, Roanoke Road Martinsville, VA 24113 -RArA 7920-44488 Noland Company, Inc. d. u. i- r-' Box 1911, 1226 Center Ave. , N. W. Roanoke, VA 24017 ^ s'. C-<,=> i>e.V RA-A <v'r. ppoorly '*" ' "''-'TCf 7919-44496 Hajoca Corp. Lu `*J . A!<c!)4t e r an t>. L . C-u s s <r V Box 990, 800 Greenville Ave. Staunton, VA 24401 ^ 7850-30270 A1, Vernon Summers Hardware h Supply Co. Box 210, Buffalo & Ashe Sts. Johnson City, TN 37602 RA-A 7930-58100 RA-2 PACIFIC REGION SEATTLE DISTRICT ALASKA OREGON (Cont'd) American Plbg. 8t Steam Supply Co. 1425 Spar Avenue Anchorage, AK 99501 SE-A 7735-11080 Tillman & Booth, Inc. Medford Div. Box 817, 631 JL Fir Medford, OR 97501 SE-A 7506-60905 ' ---------------- ,Box 4'40;`>~Ala skh'`R.TR/'-firSostfiaT-' Fairbanks-,--'AK 7.528^1649.0 \ IDAHO Hahn Supply Co. 2101 Main St. Lewiston, ID 83501 SE-B 7507-30200 OREGON Consolidated Supply Co. Box 210, 97401, 110 N. Garfield St. Eugene, OR 97402 SE-A 7503-17330 Tillman & Booth, Inc. Box 1148, 215 W. 5th Avenue Eugene,' OR 97401 SE-A rt'ss /viv<-y 5ec 7504-60900 VU5. P~f ,-er -ir^r \o Tillman & Booth, Inc. Box 589 , 1335 S. 6th St. Klamath Falls, OR 97601 SE-A 7505-60900 Consolidated Supply. Co. Box 1771,. 97207, 2300 NW 26th Ave. Portland, OR 97210 SE-A a . w. . P, cK\*.y , S..'ec tof 7512- 17330 5i ( I I .. . cc - 7~a-hie ^ ,p. Carry p/ba , De.f>~ Grinnell Co. of Oregon 3240 N. W. 29th St. Portland, OR 97210 SE-A 7513- 27575 e F. Standard Supply Co. Poa^/ ^ ' 4/7^2. 934 S. E. 6th Ave. <7". - . bav-'t!) ^ Portland, OR 97214 SE-B <TO r. n A ,Ci./^// 7515-57250 Consolidated Supply Co. Box 7362, 1525 Tile Rd. N. E. Salem, OR 97303 SE-A 7511-17330 WASHINGTON Johnson's Wholesale Plbg. Inc. 2110 37th St. Everett, WA 98201 SE-A 7527-35110 SE-1 PACIFIC REGION SEATTLE DISTRICT WASHINGTON (Cont'd) WASHINGTON (Cont'd) Consolidated Supply Co. Box 6004, 900 E, Bruneau St. Kennewick, WA 99336 SE-A 7557-17360 United Supply Co. Box 672, 1212 Baltimore St. Longview, WA 98632 SE-B 7538-62225 Bowles Northwest Co. , Inc. 700 N. Northlake Way Seattle, WA 98103 SE-A 7518-14130 Grinnell Co. of the Pacific 3101 Elliott Ave. Seattle, WA 98121 SE-A 7521- 27610 Johnson's Wholesale Plbg. , Inc. 517 Aloha St. Seattle, WA 98109 SE-A 7522- 35115 Palmer Supply Co. Airs. 250 Andover Park West 77, ^ Seattle, WA' 98188 SE-A 7524- 46090 SraucT Seattle Plbg. Supply Co. 590 First Ave. , S. Seattle, WA 98104 i.i-.v- c-a. a"./ SE-A 7525- 54000 SE-2 Consolidated Supply Co, Drawer 226 (i4a.il) 99210 W. 1121 Gardner Ave. Spokane, WA 99201 /?<=,i,i. Kof>p SE-A Qco, u>. SJss-r. 7531- 17360 Grinnell Co. of the Pacific E. 909 Sprague Spokane, WA 99202 SE-A Bit/ (Je/'cX'e/''/ SeLs. D//- 7532- 27615 American Plumbing & Steam Supply Co. 1908-16 Pacific Ave. Tacoma, WA 98401 SE-A 7540- 11080 United Supply Co. Box 1236, 1114 S. 30th St. Tacoma, WA 98401 SE-A 7541- 62250 United Supply Co. Box 610, 805 W. 11th St. Vancouver, WA 98660 SE-A 7516-62300 Consolidated Supply Co. Box 1298, 4th & Poplar St. Walla Walla, WA 99362 SE-A 7547-17360 United Supply Co. Box 459, 1100 Walla Walla Ave. Wenatchee, WA 98801 SE-A 7551-62350 PACIFIC REGION SEATTLE DISTRICT WASHINGTON (Cont'd) Inland Pipe & Sup. Co. Box 587, 102 S. Front St. Yakima, WA 98901 SE-B 7554-33800 United Supply Co. Box 982, 201 Second Ave. , N. Yakima, WA 98901 SE-A 7555-62400 !t SE-3 . WEST CENTRAL REGION ST. LOUIS DISTRICT TTUCKY (Cont'd) MISSOURI(Cont'd) Ohio Valley Supply Co. , Inc. Box 1120, 9th &: Harrison Sts. Paducah, KY 42001 SL-A 6945-45270 Grinne 11 Co. , Inc. Alrs.f'/Zo-i 1615 S. Kingshighway A St. Louis, MO 63110 * SL-A 6963-27590 B&t1C ' ISOURI N. O. Nelson Co. of Cape Girardeau 2118-20 Broadway Cape Girardeau, MO 63701 SL-A 6946-43918 jP^-vta 14 , Si r5. 1 Ahrens & McCarron, Inc. Box 636, Interstate 70 East Columbia, MO SL-A 6922-10430 King Products & Supply Co. Highway 54 East Mexico, MO 65265 SL-A 6927-36290 Rojaca, Inc. 5364- Easton Ave. St. Louis, MO 63112 SL-A 6965-52250 . to, Tallman Co. , Inc. 6425-37 Maple Ave. St. Louis, MO 63130 " SL-B 6968-60100 St.li uje/ci^rd t The Harry Yelton Co. .3740 Sullivan Ave. St. Louis, MO 63107 SL-A6964-67500 TENNESSEE Ahrens & McCarron, Inc. 4621 Beck Ave. St. Louis, MO 63116 * Ko<siu SL-A 6960-10420 Aalco Plbg. S.up. Co. 1422 Evergreen Ave. St. Louis, MO 63133 SL-A 6967^26*5-0 }Cn4Z Atlas Plbg Sup. Co. 3878 Easton Ave. St. Louis, MO 63113 SL-A 6962-11810 //ix-c (/ SJe mi vop SL-2 Tennessee Pump &c Supply Co. Box 1147, 328 Airways Jackson, TN 38301 SL-A 6921-60400 Gt^oG Amstan Supply Division Box 258, 466 Beale Ave./2>Jt^ 5pnv^o<rc<5lcfa Memphis, TN 3-8-HHSL-A 6935-00000 Noland Co. , Inc. 4129 Cross Town Sta. , 324 S. Hollywood Memphis, TN 38104 SL~A 6941-44489 lo.p , Sch recK o&u7, X r t` > C* ` \ *. / James R. Old, Jr. Partv.fr Germer, Bernsen & Gertz, L.L.P. ATTORNEYS AT LAW 805 Park Street Beaumont, Texas 77701 (409) 838-2080 Fax (409) 838-4050 E-MAIL: postmaster^germcr.com WEB PAGE: www.germec.com e-mail: jrold@germer,i June 23, 2000 Re: All Asbestos Related Personal Injury or Death Cases Filed or to Be Filed in Dallas County, Texas Mr. Jim Hamlin Dallas County District Clerk George L. Allen Sr. Courts Bldg. 600 Commerce Street Dallas, Texas 75202-4606 Dear Mr. Hamlin: Enclosed please find an original and one copy of the following document which I would ask that you have filed in the proper records of the above referenced matter: * Defendant, American Standard Inc.'s Responses to Plaintiffs' Master Interrogatories and Requests for Production.I I am also enclosing a self-addressed stamped envelope for your convenience in returning a file stamped copy of the above referenced document. By copy of this letter, all known counsel of record are being provided a copy of same. F:'wpdocsM 1592\cotTespVfilingINREMalter, wpd Germer, Bernsen & Gertz, L.L.P. 550 Fannin Street Suite 700 Beaumont, Texas 77701 (409) 838-2080 Fax (409) 835-2115 Germer, Bernsen & Gertz, L.L.P. Three Allen Center 333 Clay Suite 4105 Houston, Texas 77002 (713)650-1313 Fax (713) 739--7420 Germer, Bernsen, Gertz, Beaman & Brown, L.L.P. Bank One Tower Suite 1700 221 West 6th Street Austin, Texas 78701 (512)472-0288 Fax (512) 472-0721 Mr. Jim Hamlin June 23, 2000 Page 2 Thank you in advance for your attention to this matter. Yours truly, Germer & Gertz, L.L.P. JRO/tgm Enclosures James R. Old, Jr. cc: Ms. Melissa K. Hutts Baron & Budd, P. C. 3102 Oak Lawn Avenue, Suite 1100 Dallas, Texas 75219 Certified Mail Return Receipt Requested cc: Mr. Ben DuBose Baron & Budd, P. C. 3102 Oak Lawn Avenue, Suite 1100 Dallas, Texas 75219 Certified Mail Return Receipt Requested cc: Mr. Stephen Johnston Baron & Budd, P. C. 3102 Oak Lawn Avenue, Suite 1100 Dallas, Texas 75219 Certified Mail Return Receipt Requested F.nvpdocS'l 1592,corTespniing[N'REMauer.wpd James R. Old, Jr. Partner Germer, Bernsen & Gertz, L.L.P. ATTORNEYS AT LAW 805 Park Street Beaumont, Texas 77701 (409) 838-2080 Fax (409) 838-4050 E-MAIL: postmastet^germer.com WEB PAGE* www.germer.com e-mail: jroldfggermer June 23, 2000 Re: American Standard Responses to Plaintiffs' Master Discovery in Dallas County Mr. Stephen Johnston Barron & Budd The Centrum, Suite 1100 3102 Oak Lawn Avenue Dallas, Texas 75219 Certified Mail Return Receipt requested Dear Mr. Johnston: I am writing in reference to your letter of May 31, 2000. As you know, Ben Dubose gave us some additional time to respond but I believe we are able to respond at this point in time with sufficient confidence that we have all of the information available to provide to you. First, please note that we are filing discovery responses in the master asbestos file to correct the fact we had responded only in the Murphy case. Likewise, we have added some information in these responses specific to your requests including information regarding the designation of Mary Jane Mahoney as a custodian ofrecords, the inadvertently omitted Exhibit "A" and a distributor list identified as Exhibit "B". We have also made reference to the three depositions previously produced in the Murphy case to Ben Dubose which have exhibits attached to them. My recollection is they filled a banker's box when it was all said and done. F:*.wpdocs'l 1592'conesp\johnston.002.wpd Germer, Bernsen & Gertz, L.L.P. 550 Fannin Street * Suite 700 Beaumont,Texas 77701 (409) 838-2080 Fax (409) 835-2115 Germer, bernsen & Gertz, LLP. Three Allen Center 333 Clay Suite 4105 Houston, Texas 77002 (713)650-1313 Fax (713) 739 - 7420 Germer, Bernsen, Gertz, Beaman & Brown, LLP. Bank One Tower Suite 1700 221 West 6th Street Austin, Texas 78701 (512) 472-0288 Fax (512) 472-0721 Mr. Stephen Johnston June 23, 2000 Page 2 With respect to your request of a privilege log please be advised we have none to provide. Please see the revised responses to the request for production with regard to this issue. With respect to your complaints regarding the substantive responses to discovery, the Exhibit "A" probably answers all of your concerns. If it does not, please call me. Otherwise please understand we have provided you virtually all of the information we have available to provide in response to these requests. I will be happy to work with you to try and resolve any concerns that you have but I would first appreciate your taking the time to review the very significant amount of information that has previously been produced in this matter and with respect to the Murphy case as well. Finally, please contact the attorneys who are the lead counsel in the Leroy Boehl and Malcolm Lee Murphy, Jr. cases to discuss how you would like to proceed. I have tried to work with counsel directly in these cases to coordinate discovery issues. I have certainly expressed my concerns in the past over the vague discovery responses we have received from your firm but have also tried to give ample extensions so that complete responses can be prepared. If you are inclined to proceed with a motion to compel against American Standard I will have to proceed with similar motions against your clients in these cases, and therefore these attorneys would necessarily have to become involved as well. Again, I welcome the opportunity to work with you to resolve any concerns you might have. Call me when you have time if you are in any respect unsatisfied with the information provided by way of this letter. Yours truly, Germer, Bernsen & Gertz, L.L.P. JRO/tgm Enclosure FM\vpdocs,11592'orrcsp'johnston.002.wpd James R. Old, Jr. Mr. Stephen Johnston June 23, 2000 Page 3 cc: Mr. Ben K. DuBose (w/enclosure) Barron & Budd The Centrum, Suite 1100 3102 Oak Lawn Avenue Dallas, Texas 75219 cc: Ms. Melissa K. Hutts (w/enclosure) Baron & Budd, P. C. 3102 Oak Lawn Avenue, Suite 1100 Dallas, Texas 75219 Certified Mail Return Receipt Requested Certified Mail Return Receipt Requested F: wpdocs 11592`corresp johnston.002.wpd Mr. Stephen Johnston June 23, 2000 Page 4 bcc: Ms. Barbara Sellinger (w/enclosure) American Standard Inc. Post Office Box 6820 Piscataway,' New Jersey 08855-6820 bcc: Mr. Daniel A. Castaneda (w/enclosure) Travelers Insurance Company Post Office Box 42929 Houston, Texas 77242-2929 bcc: Ms. Julie Chaffin (w/enclosure) Forman, Perry, Watkins, Krutz & Tardy, P.L.L.C. Post Office Box 22608 Jackson, Mississippi 39225-2608 F;\wpdocs\ 11592l^orresp\johnston.002.wpd