Document g2GzDNyemYoDjoLeYE6JLpD0a
PLAINTIFF'S EXHIBIT
1 MORGENSTEIN, LADD & JUBELIRER MARVIN D. MORGENSTEIN
2 ELIOT S. JUBELIRER LEE ANN HUNTINGTON
3 255 California Street, 8th Floor San Francisco, CA 94111
4 Telephone: (415) 421-9320
5 Attorneys for Defendant OWENS-ILLINOIS, INC.
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K-I968
RECEIVED AUG 1 Q 1982
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SUPERIOR COURT OF THE STATE OF CALIFORNIA 9
COUNTY OF ALAMEDA 10
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IN RE: SHIPYARD AND 12 APPLICATOR ASBESTOS CASES
(KAZAN AND KILBOURNE) 13
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) No. 537 868-7
)
) RESPONSES OF OWENS-ILLINOIS, ) INC., TO PLAINTIFFS' SECOND ) SET OF INTERROGATORIES
PROPOUNDING PARTY: 15
PLAINTIFFS
RESPONDING PARTY: 16
DEFENDANT OWENS-ILLINOIS, INC.
SET NUMBER: 17
TWO
PRELIMINARY STATEMENT 18
Some of the events which may be relevant to the 19
matters inquired about by Plaintiffs' Interrogatories appar 20
ently occurred more than thirty-five years ago. In 21
addition, more than twenty-four years ago, effective April 22
30, 1958, Owens-Illinois, Inc. disposed of the business
23 involved in this action by way of sale of that business to
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Owens-Corning Fiberglas Corporation. Since that time, 25
Owens-Illinois, Inc. has not engaged in any such business. 26
It does not now and it has not since that sale manufactured, 27
distributed or sold any asbestos-containing products. As a 28
1
result of the foregoing factors, many of the individuals who 2
might have had personal knowledge of the matters to which 3
plaintiffs' interrogatories relate are deceased, or are
4
otherwise unavailable to Owens-Illinois, Inc., and 5
investigations to date indicate that at least some documents 6
which relate to matters inquired about by these 7
interrogatories may have been transferred to Owens-Corning 8
Fiberglas Corporation with the transfer of the business in 9
question in 1958. Owens-Illinois, Inc. is engaged in a 10
continuing investigation in an attempt to locate, confirm 11
the transfer of, or confirm the absence of, such documents 12
and is also engaged in a continuing investigation into the 13
matters inquired about in these interrogatories. Unless 14
otherwise stated in an answer to a specific interrogatory, 15
the answers set out hereinafter are limited to the period 16
during which Owens-Illinois, Inc. manufactured asbestos17
containing insulation products and to the facilities related 18
to that business. The following is a part of and is 19
incorporated by reference in every answer provided 20
hereinafter: 21
This answer is accurate as of the 22
date of the Responses of Owens-Illinois, 23
Inc. to Plaintiffs' First Set of Inter 24
rogatories. However, Owens-Illinois, 25
Inc.'s investigation is continuing, and 26
Owens-Illinois, Inc. cannot exclude the 27
possibility that it may be able to 28
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1 2 obtain more complete information or even
information which indicates that.the 3
answer being supplied is incorrect.
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Owens-Illinois, Inc. objects to 5
answering this interrogatory with regard 6
to any period of time other than the 7 8 period during which it engaged in the
business involved in this case which 9
ended in mid-1958 and in regard to any 10
facility not related to said business, 11
on the basis that any such answer would 12
be irrelevant to the subject matter of 13
the pending litigation, would not be 14
reasonably calculated to lead to the 15
discovery of admissible evidence, and 16
would be burdensome and oppressive. 17
INTERROGATORY NO. 1; 18
Did Owens-Illinois employ F. W. Sherwood as noted 19
on the attached Exhibit 1? If so, please state: 20
a. Years of employment 21
b. Job title(s) 22
c. Duties and responsibilities 23
RESPONSE TO INTERROGATORY NO. 1: 24
No. 25
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1 INTERROGATORY NO. 2: 2
Did F. W. Sherwood attend the Mellon Institute of 3
Industrial Research Symposium on Dust Problems in
4
Pittsburgh, January 15, 1935? 5
RESPONSE TO INTERROGATORY NO. 2: 6
Unknown. Owens-Illinois Glass Co. did not 7
manufacture, sell or distribute asbestos-containing products 8
in 1935. 9
INTERROGATORY NO. 3: 10
What was the nature of concern expressed on behalf 11
of Owens-Illinois by its representative to the Mellon 12
Institute Symposium referenced in No. 2 above? 13
RESPONSE TO INTERROGATORY NO. 3: 14
See answer to interrogatories Nos. 1 and 2 above. 15
INTERROGATORY NO. 4: 16
Was there concern on behalf of Owens-Illinois 17
regarding silica (sand) in 1935? If so, please state: 18
a. What was the nature of concern regarding 19
health aspects for the workers? 20 b. What was the nature of concern regarding 21 health aspects for the users of the product? 22 c. What was the nature of all other concerns?
23 RESPONSE TO INTERROGATORY NO. 4: 24 Owens-Illinois Glass Co. did not make, sell or 25
distribute asbestos-containing products in 1935. It did 26 make glass containers, one of the raw materials of which was 27 silica sand. There was no health risk to users of glass 28
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containers due to silica sand. Owens-Illinois, Inc. objects 2
to the remainder of this interrogatory on the ground that it 3
is irrelevant and does not seek information calculated or 4
likely to lead to the discovery of admissible evidence. No 5
plaintiff alleges he was made ill due to exposure to silica 6
sand or to glass in 1935. In addition, subpart (c) of this 7
interrogatory is also vague, ambiguous and unintelligible. 8
INTERROGATORY NO. 5: 9
Was there concern on behalf of Owens-Illinois 10
regarding dusty jobs in 1935? If so, please state: 11
a. What was the nature of concern regarding 12
health aspects for the workers?
13 b. What was the nature of concern regarding
14 health aspects for the users of the product?
15 c. What was the nature of all other concerns?
16 RESPONSE TO INTERROGATORY NO. 5:
17 See answers to interrogatories No. 1, 2 and 4
18 above.
19 INTERROGATORY NO. 6:
20 Did the law firm of Williams, Eversman and Morgan,
21 Toledo, Ohio represent Owens-Illinois during 1935?
22 RESPONSE TO INTERROGATORY NO. 6:
23 Yes.
24 INTERROGATORY NO. 7:
25 Does Owens-Illinois have a copy of the address
26 given by Mr. A. C. Hirth during the Mellon Institute of
27 Industrial Research Symposium on Dust Problems in 1935?
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2 RESPONSE TO INTERROGATORY NO. 7:
No. 3
INTERROGATORY NO. 8:
4
If the response to Number 7 above is affirmative, 5
6 will you provide a copy of the address with your responses
without a motion to produce? 7
8 RESPONSE TO INTERROGATORY NO. 8; Not applicable.
9
INTERROGATORY NO. 9; 10
If a copy of the address by Mr. Hirth at the 1935 11
symposium is not attached, please state the conent of his 12
address as known by Owens-Illinois. 13
RESPONSE TO INTERROGATORY NO. 9: 14
Unknown. 15
DATED: August 4, 1982 16
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MORGENSTEIN, LADD & JUBELIRER MARVIN D. MORGENSTEIN ELIOT S. JUBELIRER LEE ANN HUNTINGTON
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AFFIDAVIT
STATE OF OHIO COUNTY OF LUCAS
) )
SS:
PHILIP M. RICE, being duly sworn according to law, deposes and says that he is an Assistant Secretary of Owens-Illinois, Inc., a defendant herein; that as such he is authorized to make an Affidavit on its behalf; and that the facts set forth in the fore going Responses to Plaintiffs' Interrogatories are true and correct to the best of his knowledge, informa tion and belief.
PHILIP M. RICE
Sworn to and subscribed before me this , 1982.
My Commission Expires:
/9, /??,
PROOF OF SERVICE BY MAIL'
I am a citizen of the United States and am employed in the City and County of San Francisco, State of California; I am over the age of eighteen years and not a party to the within action; my business address is 255 California Street, 8th Floor, San Francisco, CA 94111.
On August 5
, 1982, I served the within
RESPONSES OF OWENS-ILLINOIS, INC., TO PLAINTIFFS" SECOND
SET OF INTERROGATORIES
on the at.t. P&RTTF.S in said action, by placing a true copy thereof enclosed in a sealed envelope with postage
thereon fully prepaid in a United States post office mail box at San Francisco, California, addressed as follows:
Steven Kazan, Esq. Law Offices of Steven Kazan 171 - 12th Street, Suite 300 Oakland, CA 94607
George W. Kilbourne, Esq. Law Offices of George W. Kilbourne 620 Contra Costa Boulevard Pleasant Hill, CA 94523
I certify (or declare), under penalty of perjury, that the foregoing is true and correct.
Executed on
August 5, i982________ 31 San Francisco, California.
EILEEN R. CAVIT.
- flat-field, Barfield,
Drydon fi# Ruone ` One California Street, 82125
San Francisco, CA 94111
Bennett, Samuelson b Reynolds 2030 Franklin Street Oakland, CA 94612
Arthur P. Berg, Esq. Law Offices of Berg & Phelps 615 South Flower Street
Suite 1900 Los Angeles, CA 90017
Berry & Berry 1221 Broadway #1880 Oakland, CA 94612
Bianchi b Hoskins 1000 Fourth Street San Rafael, CA
Bishop, Barry, Howe & Reid 220 Bush Street, #350 San Francisco, CA 94104
Bolling, Pothoven, Walter b Gawthros
555 University Avenue Sacramento, CA 95825
Branson, Fitzgerald b Howard 400 Allerton Redwood City, CA 94063
(
John R. Stewart, Esq. Richard B. McDonough, Esq. Carroll, Burdick b McDonough One Lcker Building, Suite 400 San Francisco, CA 94105
Cooper, White b Cooper 44 Montgomery Street San Francisco, CA 94104
Marrs A. Craddick, Esq. Craddick b Candland P.O. Box 315 1801 North California 31vd. Walnut Creek, CA 94596
^Albert B. N'orrie, Esq. Crosby, Heafey, Roac.n i 1939 Ha rnson Street Oakland , CA 94612
May
James Cusick, Esq. 4201 Wilshire Boulevard, #252 Los Angeles, CA 90017
Carl J. Debevec, Esq.
Debevec S. Stevens 342 Carnon Street Vacaville, CA 95688
Diehl, Steinheir.er, et al. 6 El Dorado South, ?600 Stockton, CA 95202
Charles LaGrave , Esq. illiam J. Duke
4 3 3 CaI i for r.a Street -330 San Francisco, CA 9410m
tliasscn, Postoi, et al. 50 California Stieet, ? G 0 0 San Francisco, CA 94111
James L. English, Esq. 400 Montgomery Street
Suite 1002 San Fiuncisco, CA 94104
4kr icksen Arbuthnot, McC carncy b Walsh, Inc. 535 Mu a Vista Oak land, CA 94610
thy,
Erickson, Arbuthnot,
McCarthy & Kearney, Inc Pier 1-1/2 Lmbarcadero San Francisco, CA 94111
Freitas, Allen, McCarthy, Bettini & MacMahon
960 Fifth Avenue San Rafael, CA 94901
r
Lewis L. Fenton, Esq. Hoge, Fenton, Jones b
Appel, Inc. 2801 Monterey-Salinas Hwy. P.O. Box 791 Monterey, CA 93940
lie Torres, Esq. fLaw Offices of Ronald E.
369 Broadway San Francisco, CA 94133
Hothem
Hyde, Lucke b Brewer 1990 North California Blvd. Walnut Creek, CA 94596
Jedeiken b Connor 1225 Hoarst Building San Francisco, CA 94103
Jones, Day, Reavis bPougue One Century Plaza, Suite 360 2029 Century Park East Los Angeles, CA 90067
Kincaid, Gianunzio & Caudle 100 Webster Street Oakland, CA 94609
JRubert Rickson, Esq. Stephen Harper, Esq. Knox, Rickson, Snook,
Anthony b Robbins One Kaiser Plaza, Suite 850 Ordway Buildina
Oakland, CA 94612
LaFollette, Johnson, Schroeter b Dehoos
320 North Vermont Avenue Los Angeles, CA 90004
David Leach, Esq. Leach b Schneider
A Professional Corporation 5 Third Street, Suite 1000 San Francisco, CA 94103
John Ford, Esq. Lillick, McHose b Charles Two Einbarcadero Center
26th Floor San Francisco, CA 94111
Frank Gatke, President Gatke Corp. 1336 Williams Street Rives Forrest, IL 60305
Glaspy, Elliot, Creech . McMahon P.O. Box 5812
San Jose, CA 95150
Xfetuart H. Gordon, Esq.
Cordon b Rees 601 Montgomery Streec San Francisco, CA 94111
Grove, Clifford, Diepenbrock b Parces
1000 "G" Street, Suite 400 Sacramento, CA 95814-0885
1udmundson, Siggms & Stone 35 Montgomery Street i(710 San Francisco, CA 94104
Clyde L. MacGowan, Esq. Haims, Johnson,
Hacdowan ft Mclnorre 490 Grand Avenue Oakland, CA 94610
Ci -n -
Hanna, Brophy, MacLean, McAllcer b Jenson
681 Market Street #300 San Francisco, CA 94105
Engel, Berger One Kaiser Center, #1710 Oakland, CA 94612
ames Penrod, Esq. f Hassard, Bonnington,
Rogers & Huber 44 Montgomery Street
Suite 3500 San Francisco, CA 94104
Hoge, Fenton, Jones & Appel 4 North Second Street,
Suite 1300 San Jose, CA 95113
Low, Ball b Lynch 601 California Street
21st Floor San Francisco, CA 94108
yian Lacey, Esq.
/ DDOonald L. Nelson, Esc. Maloney, Chase, Eisr.er i Four Embarcadeco Center 25th Floor San Francisco, CA 94111
Michael F. O'Leary, Esc. Offices of Bernard J. Mayans* i Three Embarcadero Center
Suite 1970 San Francisco, CA 94111
James E. Martin, Esq. 450 Sansome Street, 13th Floor San Francisco, CA 94111
Gerald P. Martin, Esq. Martin & Ryan 765 Ordway Building One Kaiser Plaza Oakland, CA 94612
s/cIccCutchen, Doyle,
^^Brown b Emersen Three Embarcadero Center San Francisco, CA 94111
Don McNamara, Esq. McNamara, Houston,
McClure b Ney P.O. Box 5288 Walnut Creek, CA
Memering b Dellcrs P.O. Box 590 Sacramento, CA 95803
Menty, Finn, Gilbert ft Claire 883 Sneath Lane s 216 San Bruno, CA 94066
oore, Clifford, et a 1. 201 19th Street Oakland, CA 94612
Morrison & Foerstcr Une Market Plaza, *3400 San Francisco, CA 94105
j^ullally, Ccdeborc & Scanlon K436 14 th Street ei.405
Oakland, CA 94612
Lucy Eisenbera, usq. Mungcr, Tolies S Rickersr.uuser 612 South Flower Street Los Angeles, CA 90017
^aw offices of John J. Murray A?02 Marshall Street, Suite 250 * \lcdwood City, CA 940G3