Document jB7kLaoavL0eNVBwowo2xOJOy
jUfeir' ^Mfr^rrawwa*
-fcHfl arttfSt-- n* sw diSvi-w
y a #a> >^^gg^t^gw^^-^^>ife,S3itfiii'iigaSi:'ibw^t?!igBif^lgi^lie^ rti^4leaaat
INTER-COMPANY MEMO
K KOCHREFINING COMPANY L. P.
ENVIRONMENTAL DEPARTMENT
DATE: TO:
cc: FROM:
July 17, 1995
Sally Barnes-Soliz David Cantu Chico Flores
Brad Breuer
Joe Harris John Kampfhenkel Chris Mineo
Jim Cline
Walter Tyler John Wadsworth
Frank White ^ ^
SUBJECT: ASBESTOS LAWSUIT
As you may be aware, Koch has been named in a lawsuit involving asbestos-related issues. Morten Vigilius, a Koch Attorney will be handling the case. Mr. Vigilius will be in Corpus on Thursday, July 20, to begin identifying documents dealing with asbestos removal at the refinery. If you have any relevant asbestos documents as described in the attached letter from Morten Vigilius, please prepare a list of the documents identifying what they are and the date.
Please plan to attend a meeting with Morten Vigilius on Thursday, July 20, 1995 at 8:30 in the Purchasing Conference Room. Bring the applicable documents or lists and / or any other information that may be relevant. If you are unable to attend the meeting, please call me with information regarding the location of the documents or have them available for review.
Thanks for your help. If you have any questions, call me at x S755.
FHW/lds Attachment Solids-95-126 CT
K016723
f6119 0\ in i'll II :{! .1HI S6 Zl :o
LEGAL DEPARTMENT .
litigation section
_.
MATOTCRFTr,EEvN VIG1LIUS
VIA TELECOPY: (512) 242-8743
Jt u.lv .13, i1n9n9d.
Mr. Frank H. White Environmental Engineer Environmental Department KOCH REFINING COMPANY. L.P. P.O.Box 2608 Corpus Christi, Texas 78409
Re: King v. E.I. Du Pont de Nemours & Co.
Dear Mr. White:
As we discussed on the telephone this morning, I am planning to be in Corpus Christi on Thursday, July 20, to visit with you and others involved in safety and health matters, including asbestos-related matters. The purpose of my visit is to identify documents relevant to the King case, specifically documents dealing with the presence or removal of asbestos at the refinery, KRC's policies and procedures regarding the handling of asbestos, KRC's retention of contractors for asbestos-related work (including intermittent services agreements), and the like.
I have previously been in contact with several KRC employees, in addition to yourself, who have assisted in identifying relevant documents. These include John Kampfhenkel, Chico Flores, Sally Barnes, Walter Tyler, and Chris Mineo. I have tried to contact Joe Harris as well but he has been unavailable for healthrelated reasons. It would probably expedite matters if the foregoing employees
K016724
4111 East 37m Street North W cuta, Karsas 67220 P.Q. Box 2256 Wichita, Kansas 67231 316/832-4420 - FAX 316/832-E350 JWX 910/741-6990 * TLX 417376
80/50'd
-0268 d8
JLddQ iy031 HOOH
l: P L 'IXI
'J 1
iHMI 8JBlIii iiMlilil IlHIIHrlHifW
[6'i9 on; xh.- xii u-ii .m ss. et, 10
Mr. Frank H. White
July 13, 1995 Page 2
received a copy of this letter and began to identify or copy the relevant documents, not including the two binders you previously sent me.
Thank you for your help in this matter. Sincerely,
MV:sb
C. 0'd
: 0963 38 31 '0N: X03
id3Q 10031 HOOM
K016725