Document g20xxjd9yZoyg3N6eEx5K111G
you purchased them and the years during which you purchased said pans from said company.
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Ana. N/A
105. Have you. at any time from 1925 to 1980. manufactured, sold and/or distributed brake lining, clutch lining, insulation material for vehicles, or any other U.S. military vehicle component containing asbestos to any other company, firm or entity (including the U.S. military)? Were said brake linings, clutch linings, insulation materials and/or other components placed in vehicles sold to the U.S. military?
Ana. N/A
106. With reference to the above interrogatory, state the name of the products you sold and the years you sold the products, the company or entity to whom you sold the products, and the amount of each product sold per year.
Ans. N/A
107. With respect to Interrogatory No. 105 above, state the company or entity from which you purchased any asbestos or asbestos products which were used by you in brake linings, clutch linings, vehicle insulation and/or other U.S. military vehicles components, the years you purchased such asbestos or asbestos products from each such company, and the amount of asbestos or asbestos products you purchased each year from each company.
Ans. N/A
108. When did you start and when did you. stop using asbestos materials in the brake linings, clutch linings, insulation material and/or other parts of vehicles used by the U.S. military?
Ans. N/A
109. Are you asserting any cross-claims for indemnity against any other co-defendant?
(a) If so, state which co-defendant you are asserting a cross-claim for indemnity against.
(b) State the factual basis for your cross-claim for indemnity.
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DUR 00732