Document e70ka9wKzkKQeEYOavLrJ5Mvp
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1 INTERROGATORY NO. 41: 2 Please state the names of all organizations, groups, 3 inter-company or industrial organizations that defendant has been 4 a member of which conducted studies or research on the relation 5 ship between exposure to asbestos or asbestos-containing products 6 and asbestosis and lung cancer from 1930 to 1972. 7 RESPONSE: 8 OBJECTION. Defendant refers the plaintiff to the objection 9 set forth in response to Interrogatory No. 40, supra, and incor 10 porates the same by reference herein as though fully set forth. 11 INTERROGATORY NO. 42: 12 Please state the name, address and amount spent or contrib 13 uted by the defendant annually from 1930 until 1972 for research 14 specifically directed to the relationship between exposure to 15 asbestos-containing products and asbestosis, lung cancer or any 16 other pulmonary disease. 17 RESPONSE: 18 OBJECTION. Defendant refers the plaintiff to the objection 19 set forth in Response to Interrogatory No. 40, supra, and incor 20 porates the same by reference herein as though fully set forth. 21 INTERROGATORY NO. 43: 22 Please state the name, address and amount annually contrib 23 uted by the defendant from 1930 to 1972 to any independent medi 24 cal research group or groups studying the relationship between 25 exposure to asbestos and pulmonary disease. 26 RESPONSE:
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