Document gDmVyRDEvLJaeYagDxyJOYMdq

05 I 0 I "3 1 i" ANSWER: see 5.27 above. 2 I 31 i 4 5 !; 6 7 8 9 i 5.29 Do you contend that your sales and distribution of 10 products containing asbestos was consistent with the 11 i jstate-of-the-art, industry practice or custom, general scientific 12 13 (and/or medical knowledge and standards existing at any particular j^'!time pertinent to this lawsuit? 15 ANSWER: Yes. (Objection as vague and overly broad. 16 17 18 19 20 5.30 If your answer to the preceding interrogatory is in 21 the affiraative,*state: 22 (a) The facts and circumstances upon which you rely; 23 (b) Identify each document which in any way bears upon this issue; 24 25 26 PLAINTIFF'S FIRST INTERROGS., ETC. - 124 I