Document e7nxj7vZVnd1jX471g7NV13E9

defendants since 1945, when these transactions took place and where. (d) Whether any warnings, cautions, caveats or directions accompanied the materials referred to in (c) and the date these first appeared. ANSWER; Applicable. See Response to Interrogatory No. 31. Not 33. If the defendant has discontinued mining, milling, distributing, manufacturing and/or selling asbestos products, please state the reason or reasons therefor. ANSWER: Abex objects to this Interrogatory on the following grounds: 1. Overly Broad 2. Lack of Particularity 34. Prior to 1972, have any of the other defendants named in the litigation ever furnished the defendant answering these Interrogatories with information as to the state of the medical knowledge regarding the connection between asbestos exposure and contracting of diseases including cancer and asbes tosis? ANSWER: Abex objects to this Interrogatory on the following grounds: 1. Burden 2. Overly Broad 3. Lack of Particularity Without waiving these objections, Abex states that it is not currently aware of the receipt of any such information. -23-