Document jmoZzdB7goy2Ng4XV5GD89zpp
18TH JUDICIAL DISTRICT COURT
PARISH OF IBERVILLE
,
STATE OF LOUISIANA
LORRAINE PEGGY WILLIAMS VERSUS MCCARTY CORPORATION, ET AL
SUIT NO.: 39,404 DIVISION 'V'D"
EXXON CORPORATION'S RESPONSE TO PLAINTIFF'S REQUEST FOR ADMISSIONS_OF_FACT
Exxon Corporation ("Exxon") hereby responds to the
request for admissions of fact served on it by the plaintiff
on or about July 21, 1991, as follows:
REQUEST FOR ADMISSION NUMBER 1
The attached copy of the document entitled
"Industrial Hygiene Survey of the Baton Rouge Refinery,
Louisiana, Division, Esso Standard Oil Company, February,
March, and April, 1949", prepared by James Morgan and W.C.L.
Hemeon of the Industrial Hygiene Foundation of America, Inc.,
is authentic.
RESPONSE TO REQUEST FOR ADMISSION NUMBER_1
Exxon objects to request for admission number 1
because Exxon does not understand the meaning, within the
context of the request for admission, of the word
"authentic."
Exxon believes, without a word-for-word
comparison, that the document entitled "Industrial Hygiene
Survey of the Baton Rouge Refinery, Louisiana Division, Esso
Standard Oil Company, February, March, and April, 1949" which
was attached to the request for admission is an accurate copy
of the original of that_document^ Exxon further objects to
this request for admission because it does not seek the
admission of admissible or relevant fact. The document was not authored nor prepared by Exxon, * but was in fact prepared by
Morgan and Hemeon of the Industrial Hygiene Foundation of
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America, Inc., an entity which is separate from Exxon. The document does not purport to be, nor can it be construed to
be, a statement by Exxon.
It is hearsay and,
that reason, cannot be introduced in these proceedings.
REQUEST FOR ADMISSION NUMBER 2
for
The attached copy of the document entitled "Dust Producing Operations in the Production of Petroleum Products and Associated Activities", prepared in July, 1937, by the
Chief Safey Inspector of Standard Oil Company, N.J., is
authentic.
,
RESPONSE TO REQUEST FOR ADMISSI0N_NUMBER_2
Exxon objects to this request for admission because
it does not understand, within the context of the request for
admission, the meaning of the word "authentic.-" Exxon does
admit that the document entitled "Dust Producing Operations in the Production of Petroleum Products and Associated Activities", prepared in July, 1937 by t-he Chief Safety
Inspector of Standard Oil Company, N.J., is an accurate copy
of the original of that document. Beyond that, Exxon denies
request for admission number 2. REQUEST FOR ADMISSION NUMBER 3
Exxon Corporation i.s the successor- of standard Oil
Company, N.J.
RESPONSE TO REQUEST FOR ADMISSION NUMBER 3
Denied.
See response to interrogatory number 1
filed by Exxon on or about July 22, 1991. REQUEST FOR ADMISSION NUMBER 4
Exxon Corporation is the successor of Esso Standard
Oil Company. RESPONSE TO REQUEST FOR ADMISSION NUMBER 4
Admitted.
.
REQUEST FOR ADMTSSTOM MTTMPgo a
Exxon .Corporation is liable for any tortious conduct
of Standard Oil Company, N.J.
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EM002641
RESPONSE TO REQUEST FOR ADMISSION NUMBER 5
Exxon objects to request for admission number 5
because it seeks the admission of a legal conclusion as
opposed to a factual or evidentiary matter.
REQUEST FOR ADMISSION NUMBER .6
Exxon Corporation is liable for any tortious conduct
of Esso Standard Oil Company.
RESPONSE TO REQUEST FOR ADMISSION NUMBER 6
Exxon objects to request for admission number 6 for
the same reason that it objected to request for admission
number 5.
whSubmitted by:
Gary A. Bezet Bar Roll No. 3036 KEAN, MILLER, HAWTHORNE, D'ARMOND, McCOWAN <6 JARMAN Post Office Box 3513 Baton Rouge, Louisiana 70821 Telephone: (504) 387-0999
David W. Ledyard STRONG, PIPKIN, NELSON & BISSELL 1400 San Jacinto Building 595 Orleans Beaumont, Texas 77701-3255 Telephone: (409) 835-4581
CERTIFICATE OF SERVICE
I hereby certify that a copy of the foregoing
document has been mailed, postage prepaid, to all counsel of
record.
Baton Rouge, Louisiana ,
1991.
Gary A. Bezet
WtLMSPCfCMOTXE*
EHO 02642