Document jgdq9Va6a5v4R2arg49O2nnQ5

FILE NAME: Hampshire (HAMP) DATE: 1994 Mar DOC#: HAMP116 DOCUMENT DESCRIPTION: Legal - Hampshire's Supplemental Answers to Interrogatories ' Qinh 3/94 compounded, processed, or merchandised prior to its delivery to Hampshire. In some instances, documents in Hampshire's job files may indicate when the material was sold, supplied, or distributed to Hampshire; (h) They do not indicate any party to w hich Hampshire has sold or distributed any such material, as Hampshire was not a seller or a distributor, but used the material in its construction work; (i) They identify. Hampshire as the user of t h e material in question; and (j) The documents are now maintained at the offices of Thomas Sc Libowitz, USFfcC Building, Suite 1100, 100 light Street, Baltimore, Maryland 21202. INTERROGATORY HO. l6i Do you contend that any of the asbestos products listed in your An s w e r t o Interrogatory No. 8 require change or modification before t h e y m a y be used? If so, specify what change or modification is required for each such product. A N S W E R TO INTERROGATORY HO. 161 Hampshire's use of materials addressed in its answer to Interrogatory No. 8 required no change or modification other than that contemplated and directed by their manufacturer. Thus, in the course of Hampshire's use of spray or plaster, it would have been mired with water, and ceiling or floor tile would have been cut. See Answer to Interrogatory No. 8. INTERROGATORY NO. 19,: State whether you have distributed, sold or installed any asbestos or asbestos-containing products which was/were mined, 4 PLAINTIFF'S EXHIBIT HM P-nai