Document kDaKNzQ8RKNgd39r2MnQNjmqy
1 IN THE DISTRICT COURT OF THE UNITED STATES EASTERN DISTRICT OF KENTUCKY
2 PIKEVILLE DIVISION
3
4
5 EQUITABLE RESOURCES ENERGY COMPANY, a West Virginia
6 Corporation,
7 Plaintiff,
8 VS.
9 MONSANTO COMPANY, a Delaware Corporation,
10 Defendant.
11
) ) ) ) ) )
) ) ) ) )
) No.91-441
12
13
14
15 DEPOSITION OF JOHN CRADDOCK, PH. D.
16 TAKEN ON BEHALF OF THE PLAINTIFF.
17
18
19 September 9, 1992
20
21
22
23 RICHARD E. SCHROEDER
24 Registered Professional Reporters 400 North Fourth St. - Suite 910
25 St. Louis, MO 63102 (314) 621-0107
STLCOPCB4025305
1 EXHIBIT INDEX
2 Plaintiff's Page
Moved In Evidence
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60 63 75 79 97 104 106 107 108 114
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STLCOPCB4025306
1 .......... IN THE DISTRICT COURT OF THE UNITED STATES EASTERN DISTRICT OF MISSOURI
2 ....;____________
EASTERN DIVISION
3
.4 EQUITABLE RESOURCES ENERGY COMPANY, a West Virginia
5 Corporation,
6 Plaintiff,
7 VS .
8 MONSANTO COMPANY, a Delaware Corporation,
9 Defendant.
10
) ) ) ) ) ) ) No. 91-441
) ) ) ) )
.. 11
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DEPOSITION OF JOHN CRADDOCK, PH. D., produced, sworn, and examined on the part of the PLAINTIFF, used in an action pending in the United States District Court within and for the Eastern Division of the Eastern Judicial District of Missouri, in re: EQUITABLE RESOURCES ENERGY .COMPANY,,a West Virginia Corporation, VS. MONSANTO 'COMPANY, a Delaware Corporation, on September 9, -1992, at the office of Husch, Eppenberger, Donohue, Cornfeld & Jenkins, 100 North Broadway, St. Louis, Missouri, before Richard L. Saunders, a Notary Public within and for the City of St. Louis, State of Missouri.
18 APPEARANCES:
19 McCoy, Baker & West
309 North Broadway
20 Lexington, Kentucky 40592-1660
.
By: Michael D. Baker, Esq.
21 And Charles E. Beal, II, Esq.
For The Plaintiff.
22
VanAntwerp, Monge, Jones & Edwards
23 1544 Winchester Avenue - Fifth Floor
Ashland, Kentucky 41101
24 By: Gregory L. Monge, Esq.
J For The Defendant. 25 * \ 5 I
2
STLCOPCB4025307
1 JOHN CRADDOCK, PH. D.,
2
3 of lawful age, produced, sworn, and examined on
4 behalf of the PLAINTIFF, deposes and says: 5 DIRECT EXAMINATION
6 BY MR. BAKER:
7 Q. Mr. Craddock, my name is Michael Baker, and
8 Mr. Beal and I represent Equitable in this case.
9 We're in a law firm in Lexington, Kentucky.
10 I assume you have probably had this
11 done to you once or twice before. I will say that
12 the way we try to do things, I'm not here to match
13 wits with you, to try to trick you into saying
14 something you - don't mean. I'm here to try to get
15 some information. This is our first deposition in
16 this case, so some of the questions that we ask may
17 seem elementary, and sometimes it's because we don't
18 know. Other times maybe we do know but there are
19 things we need to get nailed down early on in the
20 case.
.
21 If I ask you anything you don't
22 understand, please don't answer. Just ask me to
23 rephrase it or to explain it. I'll be happy to do
24 that because, like I said, I'm not here to try to
25 trick you into saying something you don't mean to
3 STLCOPCB4025308
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................ What is your name, please?
3 A. John Craddock.
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Q. Mr. Craddock, where do you live? A. 6 Ferrand Woods, St. Louis, Missouri. Q. And approximately how old are you?
7 A. Figure that out. 56.
8 Q. What's your educational background?
9 A. I have a B. S. in Chemistry from Memphis
10 State University and a Ph. D. in Organic Chemistry
11 from Vanderbilt University.
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Ph. D.? after that?
:^;t .A.
Right out of school I went to work for
16 M. W. Kellogg Engineering Company in New York City.
17 Q. And, generally, what was your job there?
18 A. I was a research chemist in their research
19 laboratories in Jersey City.
20 Q. How long did you stay in that position?
21 A. I was with Kellogg until 1965.
22 Q. Then where did you go?
23 A. Joined Monsanto in 1965 in St. Louis.
24 Q. Have you been working for Monsanto in St.
J 25 Louis all the time since 1965?
4 STLCOPCB4025309
1 A. That's correct.
2.
Q.
What was your job in 1965?
3 A. I joined Monsanto in 1965 as a research
4 group leader.
5 Q. And what did that mean?
6 A. I came into the Central Research Department
7 and I had a group of three or four younger chemists,
8 junior chemists, and a couple of technicians
9 reported directly to me.
10 Q. And how long did you stay in that position?
11 A. Two or three years probably.
12 Q. Did you get a promotion? 13 A. I did. Then moved to something like a
14 group leader II. These are more or less pay
15 grades. You sort of move up the chain.
16 Q. Did you have additional responsibilities in
17 that job?
18 A. Yes. The group got larger, a couple more
19 people. I had responsibility for interfacing with
20 the Engineering Department.
.
21 Q. How long did you remain a group leader II
22 approximately?
23 A. Probably three or four years.
24 Q. Then you got another promotion?
25 A. At some point along the way I became what
5 STLCOPCB4025310
1 was classified in those days as a senior research
2 group leader and I held that position as long as I
3 was in the Corporate Research Department.
4 Q. Then at some point you left the Corporate
5 Research Department?
6 A. In about 19 -- I'd say 1971 I was loaned to
7 what was in those days known as the Hydrocarbons &
8 Polymers Division as -- what was the title we called
9 them in those days? A commercial development
10 manager.
11 Q. That was the Hydrocarbon -
12 A. And Polymers. No longer exists.
13 V
Q. And how long were you on loan to that
14 .division?
15 A. I was with them from '71 to probably '74.
16 Q. Then did you go to a different division?
17 A. 1974 I moved into Monsanto Industrial
18 Chemicals Company as a manager of commercial
19 development in the Food & Fine Chemicals Division.
20 Q. Is that a separate corporation?
21 A. Monsanto Company owns all the Monsanto
22 leader divisions or groups, or sometimes they call
23 them chemical companies. The corporate structure
24 changes. We just changed back from companies.
25 We're now groups again, so --
6 STLCOPCB4025311
m
i Q. I understand how those things can happen.
2 But Monsanto Company.--
3 A. Monsanto Company is the principal entity,
4 and I work for Monsanto Company.
5 Q. You worked for different -- either
6 divisions or groups within that company all this
7 time ?
8 A. That's correct.
9 Q. And what did you do in the production
10 development of Food & Fine Chemicals Division?
11 A. In the Food & Fine Chemicals I was a
12 manager of commercial development and my job was to
13 interface with customers and with regulatory
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14 : agencies, to move new products from the laboratory
15 or to find new uses for existing products.
16 Q. And how long did you stay in that division?
17 A. Probably until about '77, '78.
18 Q. Then where did you go?
19 A. Then I stayed in the Monsanto Industrial
20 Chemicals Company but I moved into the newly formed 21 Environmental Operations Department.
22 Q. And have you remained in that department?
23 A. I've essentially remained in that type of 24 function. I moved from the Monsanto Industrial
25 Chemicals Company, Environmental Operations
7 STLCOPCB4025312
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1 Department, to the corporate staff in roughly 1984 2 or '83, sometime thereabout. 3 Q. And have you had any other jobs since then? 4 A. No. I essentially have the same function 5 with the corporate staffs. 6 Q. What is your current position with the 7 corporate staff? 8 A. My title is product and environmental 9 safety/regulatory affairs director. I'm in the 10 Corporate Environmental Safety Health Department. 11 Q. And what does your current job entail
12 besides testifying?
13 A. I have to do with product stewardship for 14 products that we no longer manufacture. We 15 primarily provide information to former customers, 16 regulatory agencies, the media, anybody who has 17 questions about products that we no longer 18 manufacture, which includes PCB's. 19 I provide regulatory management for
20 our existing U. S. Plants, for products that we make 21 under the Toxic Substances Control Act which are 22 regulated under TSCA, T-S-C-A. That's an acronym
23 for Toxic Substances Control Act. 24 Along with these products, we provide 25 health and safety information, which includes
STLCOPCB4025313
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Material Safety Data Sheets, any product questions
2 that people have favorable to replacement and so ....
3 forth.
4 Q. When did you first become familiar with
5 PCB' s?
6 A. I became familiar with PCB's when I worked
in the laboratory. Corporate Research Department.
We used PCB's as a routine heat exchange fluid for
safety purposes. 10 Q. Would that have started in 1965?
11 A. In that time frame, you know, probably
asi2v .somewhere from '65 to '70. It was a routine tool
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1 A :->' dii:^k.Q* si'S In your straining at Memphis State and
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' ^ A. . No, not that I recall.
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17 Q. So your first familiarity was after you
18 first started working for Monsanto?
19 A. Right. 20 Q. And I assume in your first job prior to
21 Monsanto you had no involvement or knowledge of 22 PCB's?
23 A. I don't recall PCB's at all.
24 Q. Just for the record, what does ''PCB" mean?
25 A. PCB is an acronym for the chemical family
STLCOPCB4025314
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1 chlorinated biphenyls.
2 Q. Is that a chlorinated hydrocarbon?
3 A. It is a chlorinated hydrocarbon of a
4 specific type.
5 Q. Are there chlorinated hydrocarbons that are
6 not PCB's?
7 A. There are literally thousands of
8 chlorinated hydrocarbons.
9 Q. Also, for the record, what is a PCT?
10 A. PCT is an acronym for another family of
11 chlorinated hydrocarbons, polychlorinated
12 terphenyls.
13 Q. Are there chlorinated hydrocarbons that are
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14 J still commonly used?
15 ;
A..., Many. For instance, common dry cleaning
16 fluids are chlorinated hydrocarbons.
17 Q. And I assume you say there are chlorinated
18 hydrocarbons that are safe for use?
19 A. I think that's a fair statement.
20 Chlorinated hydrocarbons have many similar 21 properties, chemically, as well as health and 22 safety.
23 Q. Were you involved in the decision by
24 Monsanto to stop producing PCB's?
25 A. No, that was before my tenure in this
10 STLCOPCB4025315
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2 ......... Q. Were you involved in the decision by
3 Monsanto to stop producing PCT's?
4 A. No.
5 Q. Are you the pe
6 to the first set of int
7 this case?
8 A. Yes, I am.
9 Q. In resp onse to
10 A. Yes, that's CO
11 MR. BAKER: We
12 identify a corpo rate re
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deposition.
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MR. MONGE: Fo
18 our answers to the inte
19 no one person ha s all t
20 Dr. Craddock has put hi
21 information that 's been
22 as to whether he will b
23 representative for 30(b)(6) representative, I don't
24 know that that's accurate at this point, Mike. And
25 since you asked specifically for him and didn't ask
11 STLCOPCB4025316
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l for a 30(b)(6) representative, I really can't say
2 that he will be.
3 Q. (By Mr. Baker) Have you been involved in
4 working with Monsanto in other litigation involving
5 PCB's?
6 A. To some extent, yes.
7 Q. Have you testified in any trials?
8 A. I think one.
9 Q. Do you recall the style of the case or
10 where the case was?
11 A. Yeah, this was a special case. I don't
12 know exactly what -- it was handled -- it was in San
13 Francisco and it's a case where they have a sort of
. s 14 jii administrative judge, both sides agree to dispute.
. 15
Is that what they call it?
16 MR. MONGE: I think there was an
17 arbitration of some kind.
18 Q. (By Mr. Baker) Do you know who the
19 plaintiff was in that case?
20 A. It was a list of plaintiffs. It was called
21 the Wynne Market Plaza cases.
22 Q. Have you given depositions in any other
23 litigation involving PCB's? 24 A. Yes.
25 Q. Approximately how many times?
12 STLCOPCB4025317
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A. Three or four.
..........Q.
Do you know if there are transcripts of
those depositions or of your testimony in the San
Francisco case?
A. I'm sure there is because there was a court
reporter.
MR. BAKER: Is there any objection to our
obtaining transcripts of his prior testimony?
MR. MONGE: I don't know about the
arbitration. I'm really not sure what that was
about or whether there was, but if there are
publicly recorded transcripts of evidence of his
testimony in public records, we will certainly
undertake to.see if we've got those or you can get
them.
;
MR. BAKER: I will ask then if you will
produce any transcripts of his testimony in cases
involving questions concerning PCB's, or if they
exist and there is some objection to it, inform us
they exist and the basis for the objection.
MR. MONGE: We'll do that right well.
Q. (By Mr. Baker) I assume -- in fact, I'm '
confident there have been cases for a number of
years against Monsanto concerning PCB's.
When did you first become involved in
13 STLCOPCB4025318
STLCOPCB4025319
1 Q. Or in any litigation concerning PCB's?
2 .........A. . No.
.........................
3 Q. When you were in the Environmental
4 Operations Department were you involved with PCB
5 litigation at all?
6 A. No PCB litigation.
7 Q. So your involvement with PCB litigation
8 began sometime after you moved to the corporate
9 staff?
10 A. It began after 1980, because the function
11 moved to the corporate staff in '84. My involvement
12 with PCB's began roughly in 1980, total involvement.
13 Q. Would Mr. Papageorge -- or is it
14 Papageorge?
.
15 A. Papageorge.
16 Q. Would he have been involved with PCB's
17 earlier than you were?
18 A. I don't know if there was litigation prior
19 to that time.
20 Q. We can ask him.
21 In your current position are you
22 involved at all in testing new chemicals or new
23 substances to determine whether they are hazardous
24 and whether they should be marketed?
25 A. No, I'm not.
15 STLCOPCB4025320
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l Q. Were you involved in any of that kind of
2 activity in any of your previous positions?
3 A. Yes, I was.
4 Q. When did that begin and how long were you
5 involved in that?
6 A. When I was in the commercial development
7 function, the first commercial development function
8 which would move to Hydrocarbons & Polymers
9 Division, which is roughly '71.
10 Q. In 1971, and, say, for five years
11 thereafter did Monsanto develop new products?
12 A. Yes, they did.
13 Q. In general terms, how many new products
14 would they have developed?
15 :v:: :.,
MR. MONGE: To the extent that you know the
16 answer to that question.
17 A. I don't have a number. Dozens would be a
18 guess.
19 Q. (By Mr. Baker) That's good enough for our
20 purposes. Was there testing prior to marketing
21 those products to determine both what they would do
22 and how well they would do it, as well as whether 23 they were safe for use and how they should be
24 disposed of?
25 MR. MONGE: Let me just have an objection
16 STLCOPCB4025321
1 to the form of the question, and probably should
2 ..have objected earlier on the use of the term "safe"
3 because that can connote a lot of things. It might
4 be safe for one application and not safe for another
5 application. But with that objection. I'll let him
6 answer.
7 THE WITNESS: Okay, what's the question
8 again?
9 Q. (By Mr. Baker) Let me try to rephrase the
10 question again. I'm not trying to trick you into
11 adopting the word "safe," but from, say, 1971 when
12 you first became involved with testing products,
13;V :.v.
say, for the next five years or so, did Monsanto
14 conduct tests concerning applications and safety of
15 their products?
16 A. Yes.
17 Q. What kind of testing was done?
18 A. There's a general health and safety screen
19 that's done that's recognized by the regulatory
20 agencies and the acute test for short-term exposure,
21 and this includes ingestion, dermal testing. The
22 various routes that this particular chemical would
23 commonly be exposed to people, those routes were
24 tested first in a series of acute short-term tests,
25 and then following that, depending on the result of
17 STLCOPCB4025322
1 the test and the outlook of the market, then you 2 went on to more detail testing. 3 Q. Did you do animal testing? 4 A. Yes, animal testing is involved. 5 Q. Testing on humans? 6 A. No. Human testing is not allowed in this 7 country. 8 Q. What kinds of animal testing would you have 9 done for a new chemical product? 10 MR. MONGE: Again, objection to the 11 generality, but understanding that he's just 12 speaking in general terms, to the extent that you 13 can answer that, go ahead. 14 A. . Depending on the particular use of the 15 screen, there are standard test protocols. Usually 16 these involve mice. You start with the lower 17 species, mice, then you move up to rodents. 18 Ultimately, you move up to things the size of dogs, 19 apes, monkeys and so forth. And there's also tests 20 that are done in avian and fish species. 21 Q. (By Mr. Baker) What are you trying to 22 determine with these tests? 23 A. In the acute test you are trying to 24 determine the exposure level at which any -- guess 25 I'm trying to think of the word -- that any chronic
18
STLCOPCB4025323
1 or any clinical signs of health effects will occur.
2 ........Q.
And are you looking at a broad spectrum of
3 adverse health effects?
4 ........... A.
Yes, there's a generally defined protocol
5 of what you're looking for in these tests.
6 Q. And generally what kinds of health effects
7 are you looking for or hoping not to find?
8 A. Well, in the acute test, the first test,
9 you are really looking for a lethal dose, to see
0 what is the maximum tolerated dose and you're
1 looking to see if there are any overt signs of
2 irritation, rash, any kind of manifestation of a
3 .possible health factor.
4 *2,,, ;
When you move to the higher species, of
5 .animals the longer term studies can involve lifetime
6 feeding studies at various doses up to the maximum
7 minimum tolerated doses. You actually dissect the
8 organs of the animal and you look for everything you
9 look for in an autopsy, everything from organ
0 development, tumorgenic cancer effects, neurological
1 disorders.
2 These tests, by the way, are not done
3 by someone such as myself. These are done by
4 trained board-certified pathologists,
5 toxicologists. It's very specialized type of
19 STLCOPCB4025324
1 testing.
2 ...... , Q.
Are there national guidelines for this kind
3 of product testing?
4 A. These are evolving. There have been
5 standard protocols that have been accepted over the
6 years and these have changed as the body of
7 information has gotten done, but yes, there are.
8 And there were guidelines and at the time the
9 testing was done according to accepted national
0 standards that were applicable and in force at the
1 time.
2;
Q. What agency or agencies would adopt or
3 ;promulgate guidelines for this kind of testing?
4 MR. MONGE: Just let me -- during what -
5 .period of time?
6 Q. (By Mr. Baker) Okay, let's say from 1971
7 to the present, if it has changed since '71.
8 A. It has changed since '71. Changed
9 significantly.
0 Q. Why don't we start with '71 and go
1 forward? Then we'll start with '71 and go
2 backward.
3 A. I'm not sure if I can give you an exact
4 chronology of this, but up until probably the '60's
5 and '70's the only protocols that were established
20 STLCOPCB4025325
1 were by the Food & Drug Administration, and these 2 were primarily for chemicals which would be used as 3 a drug or a therapeutic ingredient to be ingested or 4 used on humans or as a food which would be ingested 5 or used on humans. Included in this, they have a 6 definition of things that are used on foods for 7 consumption by humans. The food and drug 8 regulations also include things that you feed to 9 animals which would be fed to humans. 10 At some point in time the 11 U. S. Department of Agriculture had certain test 12 protocols that came in and these sort of evolved as 13 for chemicals which were used in animal feeds 14 primarily, and that was probably 1970, pre-1970. 15 Since 1970, as more and more government agencies 16 have proliferated and science has moved forward, 17 these have changed. 18 At one point in time they established 19 the Environmental Protection Agency and I think the 20 EPA was first established probably in the early 21 '70's and they began to regulate under something 22 known as FIFRA, F-I-F-R-A, which is the Federal 23 Insecticide, Fungicide & Rodenticide Act. I believe 24 that's what the initials stand for. And this began 25 to regulate pesticides as they were called, which
21
STLCOPCB4025326
1 were things we used to control pests; bugs, rodents 2 and so forth. 3 Then this has been extended then to 4 look at agricultural chemicals, things which you 5 used on farms which would leave a residue on a crop 6 which might subsequently be ingested by humans or 7 animals. And there's some overlap with respect to 8 the FIFRA group under EPA and the FDA and USDA who 9 regulate the foodstuffs, so these have evolved since 10 then and as these have evolved more and more 11 standards have been developed for testing. It was 12 only fairly recently that a standard good laboratory 13 practices act was passed which requires standard 14 ^practices in laboratories for animal maintenance, 15 feeding, cleaning, caring and record keeping has 16 come around. That's roughly in the early '80's to 17 maybe the mid-'80's. 18 Q. Okay, Mr. Craddock, in the '50's and '60's 19 were there any nationally accepted testing 20 guidelines that would be applicable , to a chemical 21 such as PCB? 22 MR. MONGE: If you know. 23 A. Prior to the federal guidelines, 24 professional societies, which include the 25 membership, established the practices such as the
22
STLCOPCB4025327
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1 AMA did for physicians, the Americ an Chemical
2 Society did for chemistry, there ' s a society of
3 toxicol ogists, veterinarian s and s o forth, and these
4 dif fere nt groups establishe d the p rotocols and
5 practic es that we used in t esting the animals or
6 product s or whatever that i nvolved their
7 profess ions .
8 Q. (By Mr. Baker) Do you know what kinds of
9 guidelines were in plac e for PCB' s in the 1950 's and
10 the 19 6 0 ' s ?
11 A. From my readin gs, there were essentially
12 very few. It was the s ame as for any other
. .4 V- 4
-
V: -
'13 chlorinated organic ind ustrial chemical,
:Ifr Q . 4 : And then your testimony is that primarily
15 the guidelines in place during that period were for
16 foods or drugs to be in gested?
17 A. Well, they wer e for -- there were tests --
18 they weren't tests that were established by -- these
19 chemicals were not test ed for food use but the
20 testing procedures were the ones that were
21 applicable to foods bee ause these were the most
22 stringent test procedur es that were available at the
23 time, so the acute sere ens that were used for these
24 chemicals were the ones that were basically used for
25 testing any chemicals f or the acute screen.
23 STLCOPCB4025328
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1 Q. If Monsanto or some other company were
2 today to develop a chemical, a new one, say PCB's
3 had not been discovered or developed until today;
4 what kind of testing would be required prior to
5 marketing ?
6 MR. MONGE: Let me object to the relevance
7 of that on the basis that it really asks him to
8 assume something that hasn't happened, didn't happen
9 and won't happen. But I mean to the extent that he
10 can speculate on that or wants to answer that
11 question, I will let him go ahead and answer.
12 Q. (By Mr. Baker) You may answer.
13 .
r
A. About the best thing that I can say about
14 iat;was iinS1979. the ; National Academy of Sciences
15 published a monograph on polychlorinated biphenyls.
16 They looked at what was known about PCB's, what was
17 known about the testing, what was known about the
18 required testing systems that were required by the
19 government agencies in power, and the most stringent
20 testing system for new chemicals on the market was
21 the FIFRA test system. And they looked at the
22 testing that had been done for PCB's and compared it
23 to what was required by the FIFRA act in 1979 and
24 they concluded that PCB's had had all of the testing
25 prior to that time that would have been required in
24 STLCOPCB4025329
ft
1 1979 for any new chemical going on the market and
2 that PCB's would have passed the FIFRA test system.
3 Q. At what point in time? Let me rephrase
4 that. You said that was a conclusion they reached
5 in 1979?
6 A. 1979.
7 Q. Was that testing that had been done through
8 1979 or testing that had been done through 1957 or
9 what point in time?
10 A. It's probably testing that would have been
11 done up through 1978 and early 1979.
12 Q. To the extent you know, does your company
vi-i-
13 take the position that the testing required by FIFRA
i-'- -----
-
14 was done prior to their marketing of PCB's?
15 MR. MONGE: If you know the answer. I
16 don't want you to speculate on it.
17 A. No, I started to say the testing that was
18 done, all of this was before my time because I
19 became involved in 1980. But this is a published
20 document that's available.
-
21 Q. (By Mr. Baker) Who published that
22 document ?
23 A. The National Academy of Sciences in
24 Washington, D. C.
25 Q. Do you know if that's something that is
25 STLCOPCB4025330
- VxJ -'
\.P-'
l currently available?
2 A. It's available in good libraries. It has
3 been out of print but I think it has been reprinted
4 because it's commonly available in good libraries,
5 good laboratories, certainly available at the
6 National Academy of Science library in Washington.
7 Q. Let me ask you an easier question. Do you
8 have a copy of it?
9 A. I had a copy at one time and I may still
10 have it in my bookcase.
11 MR. BAKER: Do you have any objection to
12 producing that for us?
13 MR. MONGE: How big is it?
14 . . THE WITNESS: (Indicating.)
15 -
... MR. MONGE: No.
16 MR. BAKER: If you give us the front page,
17 we'll try to find it somewhere else.
18 MR. MONGE: If we got a copy of it I don't
19 have any objection to that, so we'll make a note.
20 MR. BAKER: I'd ask that you either produce
21 it for us or give us some identifying front page or
22 something.
23 MR. MONGE: I will. If I got a copy of it
24 I'll give it to you.
25 It's a monograph, right?
26 STLCOPCB4025331
THE WITNESS: It's a monograph. Q. (By Mr. Baker) If you were to develop a new chemical today -- I won't ask about hypothetical PCB's, but I assume that Monsanto develops new products regularly. On a new chemical product, not for food or drugs but a chemical product for a lubricant or any other external use, what kind of testing are you required to do today before marketing that product? A. I don't know the details of what's required but there is an established federal protocol now, a 'detailed protocol for any new chemical that's to come on the market, everything, including a premanufacturing notice. I think this is now required under EPA. Q. Is that more stringent than it was in 1979? A. I'd have to guess.
MR. MONGE: Don't guess. Don't guess. A. Okay, don't know. Q. (By Mr. Baker) You testified earlier that you did participate in animal studies or conduct animal studies? A. I managed the budgets and the planning of those, yes. Q. Among the possible health effects that
27
STLCOPCB4025332
1 you're looking for or hoping to avoid are you
2 looking at whether a substance may cause cancer?
3 A. Absolutely.
4 Q. Tumors ? 5 A. Absolutely.
6 Q. Do you look at mutation of cells?
7 A. Which is one of the standard protocols.
8 yes .
9 Q. You look at effe ct on reproduction? 10 A. Yes, this is sta ndard.
11 Q. Are you familiar with the steps that
12 Monsant o took for new pro ducts prior to 1970 in 13 assessing the risk of the products?
14
. A.
No.
15 Q. Do you know who would be who is still 16 living today?
17 A. That's hard to - - Mr. Papageorge, you have
18 his name. He was involve d. I don't know whether he
19 was involved in -- you kn ow, in this time, but he's
20 certain ly one that might know or have -- it was
21 during his generation whe n this was done,
22 Q. Do you know of a ny other persons who are 23 living who may have parti cipated in testing of PCB's
24 between the 1930's and 19 71?
25 A. Yeah, I think th e director of our Medical
28 STLCOPCB4025333
....-ri-.'i
1 Department is still alive and well. Dr. Emmett
2 . Kelly.
3 Q. Do you know where Dr. Kelly lives now?
4 A. He lives in St. Louis somewhere.
5 Q. Is he retired?
6 A. I think he has an active retirement. I
7 don't know exactly what -- I know he has some
8 volunteer clinics. I don't know whether he does
9 anything else now, but he's retired from Monsanto.
10 Q. And Dr. Kelly is a physician, is he not?
11 A. He is a physician.
Q. Are you familiar with the former Monsanto
'product Pydraul AC?
Yes, I am.
.- . -
Q. Do you know approximately when Monsanto
began producing Pydraul AC?
A. Only from reading the literature, but
18 probably in the '50's, early '60's, something like
19 that.
20 Q. Do you know what the components of Pydraul
21 AC were?
22 A. Off the top of my head, I don't know. I'd
23 have to look that up.
24
J 25
Q. It did contain polychlorinated biphenyls? A. Yes, I know it did.
29 STLCOPCB4025334
.v.vr.'
J
1 Q. What is Aroclor?
2 ........ A.
Aroclor is a registered trademark owned by
3 Monsanto Company for the general family of
4 polychlorinated polyphenyls. It is not a synonym
5 for PCB's.
6 Q. Polychlorinated polyphenyls?
7 A. Correct.
8 Q. So a PCT would be Aroclor?
9 A. PCT could be sold under the trademark
10 Aroclor. The trademark doesn't necessarily describe
11 the product. It's like some of the federal
12 trademark laws. It's just a name, that this is your
13 product.
141; i . ,, Q.
I have seen different numbers attached to
15 .. the name Aroclor. I believe that those numbers
16 reflect a percentage of chlorine.
17 Can you enlighten us some on that?
18 A. In addition to Aroclor being a registered
19 trademark of Monsanto, I think that the Aroclor with
20 the following digits were also registered
21 trademarks. The combination of the trademark
22 Aroclor with the other identifying code defined the
23 product. For example, Aroclor 1242, that was a
24 particular industrial grade chemical.
25 Q. Do you know what the 12 meant on that?
30 STLCOPCB4025335
vi.-.
..-
v.,.-. -, /,?-<a**t :f,^..`-.-1-
- . ;' '
'-
........ -- -ft>i--- ^ .
v....,:,., ;s;.?' V`T^ -- "lT ~ T' -
.) i
A. For certain of the Aroclors, and you'd have
2 to look at the specific products, the 12 indicated
3 that it contained 12 carbon atoms, and it was our
...4 internal nomenclature for polychlorinated biphenyls.
5 the 1200 series. These were for pure
6 polychlorinated biphenyls.
7 Q. Do you know what the 42 number meant?
8 A. For a certain of the 1200 series, and this
9 is not a generic universal name, but the last two
10 digits indicated the average percent chlorine in the
11 industrial grade mixture, so which was an
* -12 ) \ , 13
SUSP .,- 1C
identifying
, jti&Jfg *
i-: product. -'v^ 1 -v - v. ' v. Q. ui Do
label of '?
.v . you know
name for that particular '........: V ' ' - ' V ' ' V ;;V
r.
. . - ....
.
whether Pydraul AC contained
v
: v- "' . ' /.
-
Aroclor 1254 ?
v.
, 16
A. .......I'd have to look it up because there are
' 17 lists of these things and I'm not sure. I just have
18 to look it up.
19 Q. Assume that it did, because what we have
20 seen says that was the Aroclor in Pydraul AC. What
21 would the 1254 have meant?
22 A. In that case it would have indicated it was
23 a polychlorinated biphenyl fluid that contained 54
24 percent chlorine on the average.
J 25
Q. You know how many chlorine molecules were
31 STLCOPCB4025336
Svt'ra.
1 attached to the structure in 1254?
2 .......,A.
Well, these are industrial grade fluids, so
3 Aroclor 54 is not a single component, it is a
4 distribution of components made by a chemical
5 reaction, but the average number of chlorines would
6 correspond to, I believe, five.
7 Q. So there would be some with more and some
8 with less?
9 A. Some with less.
10 Q. How would you test a substance to determine
11 whether it contained PCB's and what percentage of
12 chlorine or whether it had Aroclor 1254, 1242 or
13 some other kind of Aroclor? How would you test
14 ;ithat ? ' ^
s Tf-i"/:.
. `'
'
15 MR. MONGE: You talking about any substance
16 or looking at this particular substance to
17 distinguish it from a 1242?
18 MR. BAKER: Maybe I should narrow that
19 down.
20 Q. (By Mr. Baker) First, in general terms, if
21 I have a truckload of dirt here and want you to
22 determine whether it has PCB's in it, what kind of
23 testing would you do?
24 A. Talking about today's time frame?
25 Q. Today, yes.
32 STLCOPCB4025337
. .:
1 A. Yeah, there are standard analytical tests
2 for various chemicals. These tests are generally 3 recommended by the ASTM, the American Society for 4 Testing Materials, which, again, is a private 5 society of the analysts who are involved in the 6 profession, who have developed standard protocols. 7 Most of these have been accepted by the federal 8 regulatory agencies as the standard methods of 9 preferred methods to use for testing. 10 For polychlorinated biphenyls there 11 are a number of standard tests, depending whether 12 it's soil, water or what not. Generally, it's done 13 by a chemical extraction or workup. This will vary,
14 depending on the media, and then the extract is -
15 analyzed by a gas chromatograph. 16 Q. How would you distinguish between Aroclor 17 1254, Aroclor 1242 or any other in the range of the 18 different PCB's? 19 A. These are distinguished by comparison with 20 a known authentic sample of the original material. 21 Q. If you had a truckload of dirt that had 22 been exposed to Aroclor 1254, would there be a 23 possibility of having changes within that sample 24 that would cause some of the tests to say that there 25 was 1242 or 1260 or any of the other numbers?
33
STLCOPCB4025338
'Zts$P&&&:ns
. 1 A. There's an effect known as the weathering
. ;..........._
2
effect. If the material has been exposed to soil,
3 to microbes, to the elements; wind, rain, heat, what
\...... 4
''
.5
B .............6
not, there will be some changes over the years. There are more sophisticated tests that you can do. Gas chromatograph coupled to a mass spectrometer in
7 comparison with specific individual peaks that are
8 in a sample, you wind up with a statistical
9 probability, what the sample is. What you generally
10 say though is if you have a truckload of soil that
11 this is like an Aroclor 1254 material, for example,
r ^ >12 there were probably a dozen other kinds of PCB's
` ...............*
BIS
: A'.X: 1;
manufactured in the world by other companies. These 14 -other companies didn't necessarily make samples of
15
- - - - "- *
16
- '
their material available for comparison.
Monsanto
...did, and so the standard and the synonym has been
V'VV.
17
kept in. But to tell whether it's an Aroclor 1254
18 or a Kaneclor 500, which is a Japanese product, and
19 Clophen 50, which is a German equivalent, you would
20 be hard pressed to tell the difference, but you
21 would say it is like an Aroclor 54. It has 22 predominately five chlorines from the distribution,
23 but these were different, and if you compared all
24 the samples of these, if you could get them, they
J 25 would be different.
34 STLCOPCB4025339
1 Q. You have named two other products that you
2 said were made in other countries and similar to
3 1254. Are there others?
4 A. Yes.
5 Q. Can you name any of those?
6 A. They were made in Spain, they were made in
7 Czechoslovakia, they were made in the iron curtain
8 countries. We don't even know the names of what
9 those were. They were just turning up now. But
10 Germany, Spain, France. Protolac. These are listed
11 in various EPA publications, in the NAB book, but
12 Germany, France, Spain Italy, Italian PCB' s,
13 Japanese, they were made world wide.
14
Q.,
So I guess if you went to the north pole.....
15 ,-and found a sample of ice that had something that
16 was similar to a 1254, you might say maybe that was
17 made by some other company?
18 A. You might say that. As a matter of fact,
19 PCB's have been found on islands. There are some
20 islands up in Michigan in the middle with no
21 industry. PCB's are carried strictly by air
22 currents around the world, no industrial contact,
23 and they have found PCB's from atmospheric
24 deposition on this island and all they can say is
25 it's PCB's. It might be like something -- they are
35 STLCOPCB4025340
*i.\>kfs*-.
1 not sure what they are because they are mixed and
2 mingled with the air and may have been around a half
3 a dozen times, and that is part of the scientific
4 dilemma.
5 Q. And to your knowledge is there any way to
6 test the sample you referred to on the island to
7 determine whether it came from Monsanto or from
8 Germany or Japan or whatever?
9 A. Not to my knowledge, but the standard that
10 is used is it's Aroclor-like and it's primarily -
11 because those are the standards that have been
12 available. Monsanto made standards available for
13
v.' (..
research world wide.
14 . j-. < Q. _ Ignoring the. iron curtain countries for a
15 /moment, outside the iron curtain countries do you
16 have an idea in general of what percentage of PCB's
17 were manufactured by Monsanto and what percentage
18 were manufactured in other countries?
19 MR. MONGE: If you know, and I assume
20 you're talking about -- I shouldn't ^assume anything,
21 I've done that too much, but that could have changed
22 over a period of time. There may still be some
23 production going on. I mean, if he knows, I'm glad
2 4 for him to answer.
25 A. That's hard to answer the question the way
36 STLCOPCB4025341
1 that it's framed.
2 ......, Q.
(By Mr. Baker) Let me ask you a whole
3 bunch of little questions then.
4 Are you aware of any companies
5 manufacturing PCB's today?
6 A. Today I think I assume PCB's production
7 world wide has been stopped.
8 Q. Does that include the former iron curtain
9 countries ?
10 A. Yes, but that's strictly speculation.
11 Q. When did Monsanto cease production of
12 PCB's?
) 13
. A.
1977 .
. / . Q. . When did Monsanto cease production of
np* 15 16
Aroclor 1254? A. 1977 .
17 Q. Between 1977 and today were there other
18 countries that produced PCB's?
19 A. Yes, there were.
20 Q. To the extent that you know, tell us who
21 did it and for how long a period after 1977 they
22 did.
23 A. Most of the Europeans continued to produce
24 PCB's up until the mid-'80's. Germany may have ) 25 stopped first. The French and the Spanish
37 STLCOPCB4025342
1 purportedly produced PCB's up until the '87, '8888
2 time frame for sale world wide. 3 Q. Now, for the period from the beginning of 4 time through 1977, do you have a general idea of 5 what percentage of the world wide production of 6 PCB's was done by Monsanto and what percentage was 7 done by other companies?
8 A. No. Be hard to guess because -- the other
9 companies other than Monsanto, nobody has generally 10 published their world wide figures or provided their 11 information on PCB's even to the European common 12 market, the NATO, or to the World Health 13 Organization. The only hard numbers are Monsanto 14 numbers. 15 Q. If a plant in Kentucky used Pydraul AC for 16 15 years or more and samples were taken inside and 17 outside that plant and a substance that was similar 18 to Aroclor 1254 was found in several of those 19 samples and I were to ask you, what do you think the 20 source of that would have been, what would your 21 answer be? 22 MR. MONGE: Calls for speculation, but go 23 ahead. 24 A. Well, if they used Pydraul AC and if 25 Pydraul AC contains 1254, which I believe it does.
38
STLCOPCB4025343
/,V.
1 and they purchased Pydraul AC and you know what was 2 bought was in the drums, there is a high probability 3 that it's 1254. 4 Q. (By Mr. Baker) Could you personally try to 5 make a case that it wasn't a Monsanto product? 6 MR. MONGE: Object to that because that 7 calls for this witness to speculate on what he 8 personally would do, and I don't think we have -- I 9 don't think it's been raised. I don't think we 10 raised that as a defense, although there certainly 11 are areas very close to there that we have reason to 12 believe that there have been foreign PCB's used, but 13 we.haven't --
a
14 : .MR. ; BAKER: Are you instructing him not to 15 , answer., that question? 16 . MR. MONGE: No, he can answer for whatever 17 it's worth. 18 THE WITNESS: What's the question now? 19 Q. (By Mr. Baker) The question was: Based on 20 your knowledge, could you personally make a case, 21 using our hypothesis, that what was found was not a 22 Monsanto product? 23 A. You could always make a case. I think it 24 would be a case of how strong the scientific base 25 was. You would have to look at what the evidence
39
STLCOPCB4025344
1 was .
2 Q. I won't ask you any more about that, in any
3 event.
4 Do you know when Monsanto first
5 started manufacturing Pydraul? You said you thought
6 it was the mid-'50's or so.
7 MR. MONGE: Pydraul AC?
8 A. I don't know definitely. I think Pydraul
9 AC I think was about the mid-'50's, early '60's.
0 Q. (By Mr. Baker) Do you know when Monsanto
1 first started moving PCB's?
2 A. Monsanto bought Swan Chemical Company in
3 1935, so Monsanto assumed the manufacture of PCB's
4 ifrom Swan's plant and bought the Aroclor trademark
5 from Swan, so 1935 is the start date.
6 Q. And Swan had one plant that manufactured
7 PCB ' s?
8 A. That's correct.
9 Q. Where was that located?
0 A. Anniston, Alabama.
.
1 Q. Do you know when that plant opened?
2 A. I believe 1929.
3 Q. And Monsanto acquired the entire Swan
4 Company or some portion of that?
5 MR. MONGE: If you know.
40 STLCOPCB4025345
1 2 3 4 5 6 7 8 9 10 11 ; 12 y- 13 4$mmmi^r--f 14
. - 4-.' ....' '
16
17
18 19 20 21 22 23 24
A. I don't know. I've never seen a document.
Q. (By Mr. Baker) That's fine. Now, Monsanto
had another plant then where they manufactured
PCB's, did they not?
A. That's correct.
Q. Just one additional plant?
A. That's correct.
Q. Where was that located?
A. That was at Sauget, Illinois.
Q. Is that just across the river from St.
Louis?
A. That's correct.
Q. First, when did that plant open
; :: ' approximately?
' . ;
A. I don't know when the plant opened.
.'
Q. Was it already open in '35 or sometime
after the Swan plant?
MR. MONGE: If you don't know -
MR. BAKER: If you don't know, that's
fine.
A. I don't.
Q. (By Mr. Baker) Do you know when Monsanto
began producing PCB's in the Illinois plant?
A. I don't know for a fact. About the time
that the Anniston facility stopped, okay?
41 STLCOPCB4025346
:--.m
l1***-'-
.r.. ......~y;p.
::
VjV
1 Q. To your knowledge, for most of the time
2 between 1935 and 1977, Monsanto had one plant 3 producing PCB's? 4 MR. MONGE: Let me just say that you can go 5 ahead and answer that but you probably would get a 6 better answer to that kind of question from 7 Mr. Papageorge. 8 MR. BAKER: I'll just wait until tomorrow. 9 I don't want to put you on the spot on something you 10 don't know about. 11 Q. (By Mr. Baker) Are you familiar with the
12 uses of Pydraul AC?
13 A. From reading in the literature.
14 Q.r; In general, what was Pydraul AC used for?
15 A. Pydraul AC was generally sold for use as a 16 compressor lubricant. 17 Q. Was there also other uses? 18 A. It was used for other things but I think 19 its primary use was as a compressor lubricant. It 20 may have been used as a lubricant fox other types of 21 equipment. Sometimes customers would use the same 22 fluid for various other pieces of equipment. 23 Q. What was the major selling point for 24 Pydraul AC that distinguished it from other 25 lubricants ?
42
STLCOPCB4025347
1 A. Safety, flame resistance, fire safety, 2 resistance to explosion. 3 Q. For companies who began using Pydraul AC as 4 a lubricant, what kind of lubricants did it replace? 5 A. Generally hydrocarbon lubricants. 6 Q. Petroleum base products for the most part? 7 A. Yes. 8 Q. And Pydraul AC was a synthetic replacement 9 for petroleum-based lubricants? 10 A. Synthetic is a hard definition in chemistry 11 to come by because hydrocarbon lubricants are 12 synthetic. They are made from crude oil. PCB's raw 13 materials come from crude oil but it replaced 14 Jstraight hydrocarbons with just carbon and hydrogen 15 molecules which have a tendency to burn readily, 16 explode. 17 Q. But Pydraul AC was much more stable than 18 the products it replaced? 19 A. Absolutely. 20 Q. And that was the major selling points for 21 it? 22 A. Absolutely. 23 Q. From the beginning I assume that Monsanto 24 understood that Pydraul AC was a very stable 25 product, would you not say?
43
STLCOPCB4025348
' "* !p
_1
MR. MONGE: If you know.
;___ ____ 2
.......... A.
Have from the very beginning. I don't
3 know, I was not involved in it. I assume so, but I
4 don't know. 5 Q. (By Mr. Baker) But at least when they
6 began making Pydraul AC and selling it as a 7 substitute for less stable petroleum-based products
8 they used, that it was much more stable?
9 A. From my reading, okay, of the literature
10 and the records that we have, Pydraul AC was
11 developed in response to request from the gas
- 12 : industry for a much safer flame-resistant,
-v--'.^
-;' -:^
' 1A
.. xtA&ji&i- A " #'
..x..*"I>.vr -i<<ijHtL.'.^rjn:.i'fi'-',, '- ;.-*-;vj;
A&^sStmiisSs;^.&
flip
explosive-resistant lubricant because of several
^catastrophic4 events that happened at compressor
; stations. v.
' - -
v Q.
Do you know whether there were any studies
. 17 done prior to 1966 by Monsanto concerning the
18 biodegradability of Pydraul AC or PCB's in general?
19 A. I don't know.
20 Q. You don't know if there weren't any, but -
21 A. I don't know if they were or there
22 weren't. Biodegradability studies, by the way,
23 weren't routine studies that were done until some
24 point in time, and I don't know what that was.
J 25 Might have been the '70's or something, but they
44 STLCOPCB4025349
' '..............
fr >
1 were not a standard of the industry.
2 ______ Q.
Do you know what studies, if any, were done
3 by Monsanto prior to 1966 concerning the potential
4 adverse health effects of Pydraul?
5 A. I don't know of specific studies, no.
6 Q. Do you know of any studies done prior to
7 1966 concerning potential adverse health effects of
8 PCB's in general?
9 A. Yes. PCB's in general, but specifically
10 Monsanto Aroclor PCB's, the industrial grades as
11 manufactured by Monsanto, which means these are the
12 things that are manufactured from the plant
13 production line stuff, these things were tested for
14 acute;health effects, Up until 1970 it's my
15 understanding that ac ute screens had been done,
16 chronic health effect s, up throu gh long-term animal
17 feeding studies had b een done on some species,
18 Q. Do you know when those began?
19 A. Late ' 60 ' s - - late '60' s I would guess,
20 Q. Do you know of any such studies that were
21 done prior to 1966?
22 A. I couldn't s ay. I don' t know if there were
23 or there weren't.
24 Q. We talked ab out biodegr adability. Is it
25 biodegradability or i s there ano ther term.
45 STLCOPCB4025350
1 biodegradation?
......_........ 2
. A.
Both terms are used, biodegradability or
3 biodegradation.
4 Q. Do you know if prior to 1970 Monsanto had
5
-V g
done biodegradation studies on any other chemicals? A. I don't know.
7 Q. Do you know anything about profitability of
8 PCB's and Pydraul AC?
9 A. No.
10 Q. That takes care of a whole bunch of
questions.
r '.v ^ 12
.. " ` A.
I'm not as old as I look.
:
product when I became involved.
This was a gone
Qrufs I'm not as old as I look either. I believe
.you mentioned gas chromatography earlier --
- - A. ' ' Yes.
'' :
'
'
17 Q. -- in some of our questions about how we
18 determine what was in a sample. When was that
19 developed?
20 A. It's hard to say. The first gas
21 chromatograph that I personally used was when I was
22 at graduate school -- when was that? 1958 to 1961,
23 so gas chromatography was in its infancy in 1960,
24 and the first reports of gas chromatography were
J> 25 probably in the early 1960's.
46 STLCOPCB4025351
***>*:
Q. Do you know or have you read anything that would tell you when Monsanto first received notice that PCB's had been found in tissue samples?
A. Yes, from my reading and discussions at Monsanto there was a report from Sweden. Some Swedish researchers had found PCB's in the tissues of either some fish or some birds. They were looking for DDT and found an unknown --
Q. Would that have been an article published in The New Scientist magazine about 1966?
A. That sounds reasonable, by Soren Jensen. Q. And you were at that time I believe a work group leader, not quite a group leader II? A .S;-:: Ir was ' barely at Monsanto at that time. That was in 1966. Q. Was that something that was discussed at your level at all during that period? A. I don't recall that. Q. What's the basis for your knowledge of the 1966 report? A. From reading the history of PCB's and the available records and files of Monsanto and the EPA and the National Academy of Sciences and the published material that's available. Q. Is that something that has occurred since
47
STLCOPCB4025352
ygS i-:
1 1970 or were you familiar with it before 1970? 2 A. No, that's occurred since I took this 3 function in 1980. 4 Q. Do you know or have you read in company 5 documents or learned from other persons at the 6 company what Monsanto's response was to that 1966 7 study? 8 A. Yes, from reading Monsanto's reports and 9 reports that Monsanto made to various federal 10 regulatory agencies, Monsanto discussed it 11 internally, and I think that people from Monsanto's 12 laboratories and St. Louis offices actually went to 13 Sweden to try to talk to Jensen to try to work with 14 qr.him.~..to;i determine what the peaks were and so forth. 15 We might have even provided him samples of material 16 to use for his comparative analytical studies. 17 Q. Do you know whether Monsanto conducted any 18 studies on its own? 19 A. I don't know specifically what studies 20 Monsanto did or did not do. I just .don't know. 21 Q. Would Papageorge know about that? 22 A. Mr. Papageorge would know. I think he was 23 the man who was involved at that time. 24 Q. Was Dr. Kelly involved at all at that time? 25 A. Dr. Kelly was the medical director at that
48
STLCOPCB4025353
1 time, so he would probably have known.
2 Q. During that time period from 1966 through
3 1970, after the report out of Sweden Monsanto
4 continued producing PCB's and Pydraul AC, did it
5 not ?
6 A. From what time frame?
7 Q. From 1966 through 1970.
8 A. Through 1966 to a point in 1970. There's a
9 point in 1970 when Monsanto voluntarily stopped
0 selling PCB's for certain type uses, which included
1 the lubricant uses. These were defined as open
2 uses .
3 ,, . QJ
,V
Up to that point where you started
4 Sdiscontinuing,production for certain uses between
5 1966 and 1970, in that time period did Monsanto take
6 ;any other steps either to protect its workers --
7 first let's talk about protecting workers first.
8 Did Monsanto take any additional steps
9 to protect it's workers from PCB exposure. To the
0 extent that he knows and has read, X have no problem
1 with him answering, but, again, I think that those
2 kinds of questions, you are going to get much better
3 information out of Mr. Papageorge. But having said
4 that, he can certainly answer to the extent of his
5 knowledge.
49 STLCOPCB4025354
$')
1 A. I don't know of any specific different
2 actions that were taken because the plants required
3 certain precautions for chlorinated organic
4 chemicals, and PCB's was created as a chlorinated
5 organic chemical and those safeguards were adequate.
6 Q. (By Mr. Baker) You don't know of any
7 safeguards between '66 and '70?
8 A. I don't know of any other.
9 Q. Do you know of any warnings to customers
10 made between 1966 and, let's say, the beginning, the
11 end of 1969?
12 A. I don't know -- I don't know specifically
13 in those days, no.
14
......Q.
Then you indicated that things started to
15 change in 1970?
16 A . Correct.
17 Q . Ultimately that led to discontinuing PCB 18 use f or some uses?
19 A . Correct.
20 Q . Can you tell us when that process started
21 and, to your knowledge, what occurred along the way ?
22 A . Until the discontinued use?
23 Q . Yes .
24 A . From my reading, Monsanto was concerned
25 about the reports of environmental persistence.
50 STLCOPCB4025355
1 That was a new issue at the time. This was not an 2 issue that the scientific community was even aware 3 of or had been concerned with before. 4 Q. Environmental what? 5 A. Persistence. This means lack of 6 degradation. It just remains. PCB's weren't a 7 stable compound. It was designed to be a stable 8 compound, to be chemically inert so it wouldn't burn 9 readily, it would not explode, but in 20/20 10 hindsight you said, well, it should be persistent. 11 But from the time of the first reports it was a very
active program in the Monsanto research community and that there was a function -- I don't know the i.title, of the function at the time. We call it ;product acceptability now, which it's a manager who is responsible for communicating health and safety 17 results for signet products, seeing that products 18 are acceptable according to the standards in place 19 by the public and the professional or technical 20 groups or regulatory groups at the time. They have 21 begun to look at this quite closely. 22 I know that Mr. Papageorge made 23 several trips to talk to people who had reported 24 these things. Monsanto searched the literature to 25 see what, if any, reports were available. When the
51
STLCOPCB4025356
5^0*1
i;ij' - '-j 'a**.'***!
..
: V.............
;Sfri .V.'. \.~ '
..
1 concern about chlorinated organic chemicals being
2 persistent came up, DDT was the prime question at
3 this time. This was about the time of Rachel
4 Carson's book Silent Spring. This was the first
5 published -- first major published piece of
6 literature that questioned the persistence of
7 chlorinated chemicals in the environment.
8 There were groups that were formed
9 within the scientific community that Monsanto
10 participated in. I know Mr. Papageorge represented
11 Monsanto with a group called The Interagency Task
12 Force on PCB's which was formed by the U. S.
13 Government and industry which included all of the
14 ... government agencies that were available at the
15 time. EPA I don't think was in force at this time,
16 and these started meeting in 1970; scientists from
17 industry, from the government, and I ought to
18 include Department of Commerce, FDA, USDA, it's just
19 an alphabet soup of government agencies, but this
20 report's available.
,
21 Mr. Papageorge was there and 22 represented Monsanto. All the information that
23 Monsanto had on testing, anything that we had, and
24 this is published in their report at this time.
25 Q. Approximately when was that?
52 STLCOPCB4025357
1 2 3 4 5 6 7 8 9 10 11 12 13 . 14 15 16 17 18 19 20 21 22 23 24 25
A. The meetings began roughly in 1970, maybe '69, about that time frame. The report was finished in May of 1972. Drafts were out in '71. Typical of a government report, it takes however long it takes to get the thing printed and published, but Monsanto participated in all these scientific discussions. Monsanto made the decision unilaterally that if there was concern about PCB's building up in the environment, that it was persistent, that they would take what steps that were available to prevent its buildup until we could determine if there was any harm. There was, and there still is, a question within the scientific community as to what, if any, harm is caused by .PCB's persistence from the environment. Health effects were not the question at the time.
And so Monsanto took steps to limit sales of PCB's, what they've defined as open uses, and this has since crept, by the way, into the regulatory life of the Toxic Substances Control Act. Monsanto limited sales of PCB's for any open uses. They continued sales for only totally enclosed uses, which were certain electrical applications and transformers which were defined as being closed, and electrical capacitors which were
53 STLCOPCB4025358
defined as being closed. Monsanto considered at the time totally stopping manufacturing PCB's until --
Q. Was this in 1970? A. This time frame, '70 to '72, but at the request of the U. S. Government and electrical manufacturers Monsanto continued to manufacture PCB's for electrical uses because they were afraid they would totally shut down electric power distribution in this country because PCB's came in with the electrification of America. To distribute electrical power you almost had to have PCB's in the equipment or for safety and for flame resistance.
- So as a result of these meetings and '.tall;Monsanto restricted PCB's sales to only what was ^defined as totally enclosed uses, and this is
documented in the Interagency Task Force report. As a matter of fact, Russell Trayne, who came in as the first administrator of the EPA, said -- I don't know if it's in this report or a subsequent report, that Monsanto took steps which no agency in the U. S. Government had the authority to do to limit sales and use of this chemical at this time.
Q. Your first limiting of the use, did that have anything to do with processing of food or preparation of food?
54
STLCOPCB4025359
1 A. No. PCB's were industrial chemicals. They 2 generally weren't sold for use with food products to 3 my knowledge. When you say for food products you 4 haven't defined what you mean. 5 MR. MONGE: If you've got a specific fluid 6 in mind, that might be helpful to him. 7 A. Pydrauls were not sold for food products. 8 Q. (By Mr. Baker) I understand that. What is 9 Therminol? 10 A. Therminol is a registered trademark of 11 Monsanto Company for flame-resistant heat transfer
12 fluids.
13 Q. Was there more than one Therminol? 14 A. Yes, and there is more than one family of 15 Therminols. To help you out, there is a Therminol 16 FR system and there's the Therminol system. 17 Q. Did some or all of those contain PCB's? 18 A. Therminols? 19 Q. Yes. 20 A. Therminols do not contain PCB's.
21 Q. Any Therminols at all? 22 A. Just the trademark Therminol is not a PCB.
23 Q. Any products that included Therminol that 24 have PCB's in them? 25 A. Therminol FR contained PCB's. Therminol
55
STLCOPCB4025360
Iw?**?*
1 flame resistance -- I'm not trying to play games, 2 .just trying to educate you, but the Therminol 3 trademark is alive and used today. They don't 4 contain any PCB's. They are the standard of the 5 industry for safety and for flame resistance, and 6 the Therminol heat and transfer fluid trademark is 7 alive, sold today, every day, used all over the 8 world. 9 Q. But there was a fire-resistant Therminol 10 that did contain PCB's? 11 A. That was manufactured and sold up until
12 about 1970, that's correct.
13 Q. And was that used at all in the preparation 14 of; foods? : ., . ... . - -
* .
15 A. There were food processors who used heat 16 transfer fluids in the processing of foods 17 preparation. I don't know how broadly you construe 18 that. 19 Q. I don't mean to be difficult at all. It 20 was used in the processing of foods?,
21 A. Yes. 22 Q. And was it your testimony that Monsanto
23 stopped selling Therminol with PCB's in 1970, 24 approximately 1970? 25 A. Monsanto stopped selling Therminol FR which
56
STLCOPCB4025361
contained PCB's in roughly 1977, in that time frame. There was a phaseout period and in roughly 1970 Monsanto announced that there was an environment persistence problem; they were working on what to do, and in this time frame from roughly 1970 to early '72 or late '71 all these open used products that contained PCB's sales were stopped. Is that a good enough answer?
Q. That's good enough for that question, thank you. What did Monsanto tell its customers who had been buying Therminol FR about this change?
A. I don't recall the specifics. The first -notices were when the environmental persistence came out;and.Monsanto notified customers in general of
products that contained PCB's, okay, that PCB's had been found in the environment and might have even mentioned in Sweden that they were thought to build up like DDT were and that Monsanto was going to look into this and that probably some general -- I don't know if it's -- general warnings like don't get it on the ground, treat it like industrial chemicals.
Q. Were there any such warning letters before 1970?
A. To my knowledge there were a group of letters that were sent in the early '70's. I can't
57
STLCOPCB4025362
1 say as to what was done before that.
2 ........MR. MONGE:
Again, go ahead and get the
3 information you can out of him, Mike, but I think
4 Mr. Papageorge will give you more.
5 MR. BAKER: I believe you.
6 Q. (By Mr. Baker) I don't want you to try to
7 answer anything you don't know the answer to, but
8 like I told you in the beginning, we're starting
9 from scratch here.
10 What's your familiarity with the
11 series of warning letters -- or, I'm sorry, series
12 of letters that went to customers concerning PCB's
13 in Monsanto products?
14 .
; A.
I have read these as a historical
15 document. I don't recall the specifics of the
16 number or the contents of these things but I have -
17 at one time I have read these.
18 Q. You weren't involved at all in the decision
19 to send them?
20 A. No, these were in the '70' s,. I only became
21 involved in the '80's.
22 Q. Are you familiar with labeling of Pydraul
23 AC?
24 A. Yes, I have read the historical files of
25 the labeling of various products.
58 STLCOPCB4025363
r ini fliVTMiiiofflifti i mn'ir'n''~ri^ti "i - W w--i.!* *'-*- * '
:a-(7`. . *W?fy ;.::y
j=-'.;;' ..
"~Y '
1 ...2
Q Was there ever a label on Pydraul AC
containers that mentioned PCB?
3 A. I don't know. I can't answer ever.
4 Q. Have you seen any Pydraul AC label that
5 mentioned PCB?
6 A. I don't know that I've ever seen a Pydraul
7 AC label, period.
8 Q. Do you know if other Pydraul products had
9 labels that mentioned PCB's?
10 A. At what time frame?
11 Q. First, at any time, and then we'll try to
12
S' 1* 13
narrow it down.
....
MR. MONGE: If you don't know, just tell
.14;
.-v^.--.^<
* <>v > j .'
, /, ^^...15
him. you don't know, John.
|:A .
I really don't know specifically.
. -'-V '
16
;
17
MR. MONGE: MR. BAKER:
How about a five-minute break? Let's take a five-minute
18 break.
19 (A brief recess was taken.)
20 Q. (By Mr. Baker) Do you knov? a man by the
21 name of Cumming Paton or Paton?
22 A. Yes, I've met him.
23 Q. Do you know if he's still alive?
24 A. I believe he's still alive and I believe he
) 25 still works for Monsanto.
59 STLCOPCB4025364
Q. So you believe he lives in the St. Louis
2 area? 3 A. I don't know. He was in the International
4 Division. I don't know where in the world he is
5 now.
6 Q. I don't guess you know what his position is
7 with the company now either?
8 A. Today, I don't know.
9 Q. Do you know in the early to mid-'70's what
10
;
11
_- .. . ....
'
12;
his position was with the company? A. I don't know his exact title at that time.
` Q. Do you know in general what he did?
. A. He was involved with PCB's, whether it was
X j:':'
S-k-r..^ -15 .
"product market or management or marketing or what not, but he was involved with PCB's in the '70's
.... 16
time frame.
17 Q. We have premarked a number of exhibits and
18 they are not in order. We use them in depositions
19 but they have our marks on them and I suppose the 20 court reporter may want to use some other
21 identifying mark, but this is a document we have 22 marked as Plaintiff's Exhibit 2.
23 I'll ask you first if you are familiar
24 with this document.
) 25
MR. MONGE: Take your time, take a look at
60
STLCOPCB4025365
.,'-,V's.:./..;-.
- -r '
: *: "'V-r** 7 **. ";.*
1 it. Why don't we use his marks, and if we end up
2 with missing numbers, if they are not there, they
3 will use your markings.
4 MR. BAKER: We will guarantee we will have
5 missing numbers.
6 A. I don't remember this document specifically
7 but the contents are familiar and the attachment
8 I've seen and some of the historical files.
9 Q. (By Mr. Baker) Let me just quickly go
10 through the names on here since you're our first
11 witness and tell me what you know about these
12 persons; what their job was then, whether they still
)^~y. 1 3 ' iitl4:i
worked for the company.
'fefe'iv
-:-y.hr:. .:h-\
-
You already
'
know
about
'
Papageorge.
'
v-A >.,-- 15
"'
16
J. F. Stapleton? A. Stapleton was in the Law Department at that
17 time. He may have been the head of the
18 Environmental Section.
19 Q. Do you know if he's still living and/or
20 working with Monsanto?
;
21 A. I think he's dead.
22 Q. P. S. Park has a hyphen and something else
23 there. I thought maybe an address.
24 A. E Building was the law building, probably
J 25 was an address. He was -- he retired several years
61 STLCOPCB4025366
vr, ;
1 ago. He was the environmental counsel at the time
2 he retired.
3 Q. To your knowledge is he still living?
4 A. As far as I know.
5 Q. T. O. Gossage?
6 A. He's retired from Monsanto Company. I
7 think he's CEO of Hercules Company.
8 Q. You know what his position was with
9 Monsanto roughly in 1973?
10 A. He was in Marketing. Could have been
11 either director of sales or director of marketing.
12 Q. W. N. Maddox?
13 A. I don't know him, no.
14 , ,.Q.
Then there are a number of persons down
15 here that this Cumming Paton memo was sent to.
16 Let's just run through the list and quickly identify
17 those to the extent that you can.
18 J. Armentor?
19 A. Don't know him.
20 Q. R. S. Bevacqua? 21 A. He was a salesman.
;
22 Q. Boutin or Boutin?
23 A. Don't know him.
24 Q. J. G. Bryant?
25 A. He was a salesman.
62 STLCOPCB4025367
1 Q. R. J. Christman?
2 .......... A.
No.
3 Q. C. L. Clay?
4 A. No.
5 Q. P. D. Craska?
6 A. No.
7 Q. H. R. Ford?
8 A. I think he was a salesman.
9 Q. Are there any names you see on here who are
10 persons other than salesmen?
11 A. I would imagine this was the sales force,
12 just from the office addresses at that time, you
13 know. Salesmen change.
14 . . Q.
And you did not get a copy of this memo at
15 that time? You've just seen parts of it.
16 A. At this time I was doing other things.
17 Probably Hydrocarbons Division.
18 Q. I'll ask that be identified but we're not
19 moving to admit it.
20 Show you a document we have marked as
21 Plaintiff's Exhibit 3, which is a document that was
2 2 produced by you in response to our request for
23 production of documents.
24 MR. MONGE: By "you," meaning Monsanto?
25 MR. BAKER: Monsanto. My first question
63 STLCOPCB4025368
_____._____jftaWilijrtfc*
--Si '
> *- -....?,,,; .-?:=?=> = -v :F -r-'-^s^:
1
is:
Is there a better copy somewhere?
2
MR. MONGE:
I don't know.
I expect there
3 might be but I don't know that. What that says is
4 -- help me out. Log of PCB incineration letters,
5 customers, and Monsanto something, and I know that,
6 Mike, because I've asked that same question.
7
MR. BAKER:
I would ask on the record if
8 you find one that's a better copy, would you please
9 produce one for us?
10 MR. MONGE: I think the rest of the
11
document, from my review of it, is legible.
The
12
)
.......... 13
only illegible part of it that I have had trouble with was the same thing you did, and that was the
4 ; cover sheet: If we can find something better, I
15 -will, but I don't know that there is anything else.
16
\ Q.
(By Mr. Baker) Mr. Craddock, I will ask
17 you if you are familiar with this document.
18 A. I don't think I've ever seen this before.
19 Q. I will not ask any further questions about
20 it. Let me ask you a general question about the 21 documents. 22 Who were the persons responsible for
23 putting together the documents in response to our
24 request for production of documents?
)
25
A. The Law Department staff.
64 STLCOPCB4025369
ife
1 Q. Were you involved at all in putting them
2 together?
3 A. I read the questions and the answers and
4 what not and looked at some of the things that were
5 put together, but I did not -
6
MR. BAKER:
I will ask, is there someone
7 with the Law Department staff who will be available
8 to answer questions about where these came from or
9 do they all claim some kind of privilege?
10
MR. MONGE:
I don't know the answer to that
11 at this time, so I'll defer that, but I will respond 12 to you on that. That's about the best I can tell
13
:C;
you at this time, Mike.
14 . ji . , MR. BAKER: Mr. Craddock, if you were not
15 involved in putting together the documents and if
16 you were not in a position when most of these
17 documents in the '60's and early '70's were prepared
18 and circulated, I don't think I will waste your time
19 in going through each of those and asking you
20 questions about them.
,
21 I will say that we may try many of
22 them with Mr. Papageorge tomorrow, but at some point
23 we will like to have someone produced who can
24 respond to questions about these documents.
25 MR. MONGE: Again, I'll withhold response
65 STLCOPCB4025370
!^pBV!
****
ViWiilil- 5**7 H-
1 to that other than to say I rather suspect that on
2 many of the documents that you will receive answers
3 from Mr. Papageorge that will probably satisfy your
4 inquiries on those.
5
Q.
(By Mr. Baker)
Are you familiar with a
6 condition known as chloracne?
7 A. Yes, I've heard of chloracne and I've read
8 some about it.
9 Q. What is chloracne?
10 A. Chloracne is a very special severe case of
11
acne.
It's almost a misnomer according to
12 physicians that I've talked to. It's caused by
13 exposure to certain types of chlorinated chemicals.
14 : It's pustules that resemble teenage acne, except
15 it's much more severe.
16 Q. Has there been a problem with workers or
17 was there a problem with workers who manufactured
18 PCB's developing chloracne?
19 A. From the literature in the early '30's
20 there were some reports of some skir* problems of 21 some plant workers. That's about the only report 22 that I know of that's published.
23 Q. This may be a futile gesture but I'll ask
24 you if you know of any steps Monsanto took to study
25 that problem and to attempt to remedy it.
66 STLCOPCB4025371
1 2 3 4 5 6 7 8 9 10 11 12 13 14; 15 16 17 18 19 20 21 22 23 24 25
MR. MONGE: Let me just object to the question on the basis that his early activity was in
the early '30's and I believe the incident he's
referring to was prior to Monsanto's ownership of the Swan Chemical facility. With that objection and
clarification, he can answer, if he knows. A. Dr. Kelly was involved with some material
and it's my recollection just from reading the
literature and was about the transition of the plant
from Swan to Monsanto that there were some workers
who had some skin problems and there was some
studies that were done I believe at Harvard or
somewhere that Monsanto instigated and sponsored and
this information is published in the open
literature.
It's my understanding from reading the
literature it was more of a personal hygiene problem
rather than a specific PCB problem.
It's very hard
to determine what it was.
If you read the
literature, they talk about PCB's ai>d other things
such as chlornaphthalenes which are much more --
other chlorinated compounds with impurities are much
more known to cause severe problems that you have. PCB's are not really considered by most physicians
that I've talked to to cause chloracne. They cause
67 STLCOPCB4025372
1 some skin ra sh but it's n ot as severe as chloracne.
2 If you talk to a dermatologist, there
3 are a couple who say they have only see seen one or
4 two cases of chloracne in their whole career.
5 Chlorinated hydrocarbons in general
6 can give some people allergic reaction. For
7 instance, people that can't wear suits that are dry
8
cleaned, they get the same type of thing.
They get
9 the red rashes and what not, but that's not
10 chloracne. But it's not the severe pustules stuff,
11 so there's some misunderstanding and misthought
12 about what chloracne is. There are some reports in
13 the literature, and Dr. Kelly would be involved with
14 that.
/:
15 Q. Is it the position of Monsanto that PCB's,
16 particularly the more highly concentrated 1254 or
17 1260, that they do not cause potential health
18 problems ?
19 MR. MONGE: Let me object to the form of
20 the question. You used the term "highly
21 concentrated," and I -
22 MR. BAKER: If I change it to "more
23 concentrated" would that change the objection?
24 MR. MONGE: No, it really wouldn't, because
25 I'm not sure what that means in terms of that
68 STLCOPCB4025373
in
SUflAl
Wv
y ~4J.
.......v.- r.;:
1 question, but he may know.
2 ....... A. , Let me help you, okay? Aroclors are all
3 highly concentrated. Aroclors are a hundred percent
4 PCB's. They are just different fractions, okay?
5 They are different products, okay? So all Aroclors
6 are highly concentrated.
7
Q.
(By Mr. Baker)
What I mean is with more
8 chlorine content is what I mean.
9 Is it the position of Monsanto that
10 Aroclor 1254 is not hazardous to human health or
11 does Monsanto agree that there are potential health
12 13 14
hazards to 1254?
-h-.;, si' - y yy,. v;.".y -.'yy-y .
MR. MONGE: To the extent the question
....................................................
. .
.
.
i-r.-i---.. ......
.
^e answered in that form, you may answer it.
can
15
' '..-V
16
Understanding that he's just -- it's a general
'? ,.y
question.
17 A. It's Monsanto's position, and it's my
18 professional position, that PCB' s are no more
19 hazardous to human health than any other chlorinated
20 organic chemical. This is based upon published
21 health studies, epidemiological reviews done
22 primarily in government and university laboratories
23 where they've collected extensive data on
24 occupational exposed workers. These are the most
25 exposed people, exposed a 40-hour work week, some of
69 STLCOPCB4025374
1 them as long as 20 or 30 years in manufacturing
2 facilities other than Monsanto plants, primarily
3 because Monsanto manufacturing facilities, they are
4 closed units. There are places that these are used
5 in other manufacturing facilities where people
6 actually come into daily skin contact and based upon
7 the published information and the health studies
8 that's available in the literature, it's our
9 position that PCB's are no more harmful to human
10 health than other chlorinated hydrocarbons, and --
11 Q. Okay, does Monsanto take the position as to
12 13
whether Aroclor 1254 is more or less biodegradable
V'.-.::. --../T*;V
.......... '
;than other chlorinated hydrocarbons?
.....
14 A. y It's a generally accepted principle of
15 ;chemistry and science that the more chlorine content
16 on the specific molecule, the less biodegradable
17 that it is, so we believe that chlorinated
18 hydrocarbons, including PCB's, are biodegradable to
19
a certain extent.
It's just a question of a
20 chemical reaction.
,
21 For years people said PCB's don't
22 biodegrade and we now know that's wrong. And the
23 EPA is trying to write into the regulations
24 technologies to allow bioremediation of contaminated
25
soil.
It's a question of reaction. And it's a
70 STLCOPCB4025375
' . -t. . . ' i*. V-'.J -.j.
.
1 generally accepted principle of science that the
2 higher the chlorine, the slower the rate.
3 Q. And Aroclor 1254 has a high chlorine level?
4 A. Well, it's higher than 48 but it's less
5
than 60 or 68.
It's intermediate.
6 Q. If special biodegradation efforts are not
7 made, how long does it take for Aroclor 1254 to
8 biodegrade ?
9 A. This is a subject of conjecture because
10 biodegradation is a function of the natural
11 microorganisms in the soil and the local conditions,
12 but it's a generally accepted principle in
13 regulatory agencies, for instance, that monochloro
14: ; biphenyls degrades -- has a half-life, say, of the
15 order of days. A dichloro is the order of weeks. A
16 trichloro biphenyl is the order of months, the time
17 it takes for half of it to decrease. When you get
18 higher than that, it moves up to the order of
19 years. And these haven't been characterized because
20 it's harder to make those measurements but this is
21
the way the scientific theory is evolving.
I don't
22 think there's a published number for 1254, which
23 would be essentially a penta, a five chlorine
24 average.
25 Q. As you increase that, it is not a
71 STLCOPCB4025376
mathematical progression, it's more a geometrical
progression; is it not?
MR. MONGE: Objection, unless you -
A.
That's hard to define.
It's just inherent
in the chemistry of the beast. You'd actually have
to make the measurements to see.
Q.
(By Mr. Baker)
Do you have an opinion as
to the half-life of Aroclor 1254 under ordinary
conditions? I know that's a general phrase and may
draw an objection, but I -
MR. MONGE:
It will draw an objection
because it is a general phrase and he has indicated
-that in many;cases, in all cases, it depends upon
the;nature of the local terrain, the condition of
the. soil and so forth. With that objection and
trying to keep things going here, if he can answer
it.
A. It's the order of years, okay? Whether the
half-life is five or 10 years, I don't think those
measurements have been made, but it would vary
because of local conditions.
Q.
(By Mr. Baker)
Have you seen any studies
that would give us estimates under any conditions?
A. There are beginning to be, in the
literature, published studies.
I don't know whether
72 STLCOPCB4025377
a* r;rp^fxi\x::
-Vr
1 they've actually put half-lives to these or not but
2 there are studies in the Hudson River published by
3 General Electric Company, but I don't recall any
4 half-lives of being --
5 Q. Does Monsanto acknowledge that there are
6 plants such as perhaps the Kentucky Hydrocarbon
7 Plant in Kentucky -- and I'm not asking you to speak
8 specifically to that, but do you acknowledge that
9 there are plants where PCB's are in the soil?
10 A. Yes, there are places where PCB's are in
11 the soil from spills, accidents and so forth.
12 Q. Do you acknowledge that there are places
13 where PCB's have escaped through the normal use of
14 the product? .
15 MR. MONGE: Object to the term "normal use
16 of the products." And I think in fairness to the
17 witness, Mike, that normal use of the product would
18 include all kinds of things because PCB's, as you
19 know, were used in many different settings and I
20 think in fairness to him you ought to pin that down
21
a little bit more specific, but he can answer.
I'll
22 let him answer.
23
A.
I'll answer with a qualifier.
For
24 instance, today PCB's are allowed to be used for the
/
25 rest of their useful life in electrical transformers
73 STLCOPCB4025378
m ||P|
r^'-j...
r->~:
1 and capacitors under certain conditions. Their
2 normal use is hanging on a pole. Every time there
3 is a lightning storm these things escape because if
4 lightning hits one of those things EPA says that's
5 not a spill, nobody spilled it. Under normal use
6 conditions, material ruptured, whatever it was, and
7 it contaminated the ground under it, and so that's a
8 f act.
9
Q.
(By Mr. Baker)
In such instances where the
10 ground is found to be contaminated by PCB's, is it
11 Monsanto's position that there should be some effort
12 undertaken to clean that up?
iM 13
, A. Yes.
;
~
'
'
14
,:vi. Q.
So while you don't admit that there are
15 health risks from it, you do agree that where there
:
16 are spills, they should be cleaned up?
17 A. It's required by federal regulations.
18 Q. But aside from the question of federal
19 regulations.
20 A. We would clean up PCB's as ,we would clean
21 up any other industrial chemical, you know. At our
22 plant we have plant safety and maintenance practice
23 codes that require that if we spill water our men
24 are required to clean that up to certain standards,
25
you know.
If they spill anything they are required
74 STLCOPCB4025379
...
1 2 3 4 5 6 7 8 9 10 11 12 13
; ;*
14 15 16 17 18 19 20 21 22 23 24 25
to maintain that area. Q. The cleanup for PCB's is generally a little
more complicated than cleaning up water though; is
it not? A. In some cases, yes. Q. And more expensive? A. In some cases. Q. Does Monsanto have a position as to who
should be responsible for paying for the cleanup of spills of PCB's?
MR. MONGE: Object to that; instruct him
not to answer. That calls for a legal conclusion
and this witness will not be allowed to answer that.
Q.
(By Mr. Baker)
To prove that we are going
to have some exhibits that are numbered, for the time being I'll show you a document that's marked as Plaintiff's Exhibit 13 and ask you if you are familiar in general with this kind of document, and
then specifically with this particular one.
A. I am familiar with this type of document. I have probably seen a form of this 54. Yes, I'm familiar with this type of --
Q. First, what is an MSDS?
A. Sheet.
MSDS is an acronym for Material Safety Data
75 STLCOPCB4025380
........ x.-.V-f-X'-. *r-i-
` -f-
1 Q. And with whom were those required to be
2 filed?............
3 A. I don't think they are required to be filed
4 with anybody. They were required to be prepared,
5 and the regulation on these have changed and I can't
6 tell you exactly what they were.
7 In the original days when OSHA started
8 you were required to have Material Safety Data
9 Sheets in your plant for materials that were in your
10 plant primarily for the use of workers or anybody
11 who was in the area who wanted to see what chemicals
12 they might become involved in, what was known about
13 them, so I guess to qualify my answer, you were
14 supposed to..keep: a file of them in your own
15 facility. , .
r^
16 Q. And what kinds of facilities were required
17 to keep a set of these documents?
18 A. I think anybody who used these chemicals.
19 If you used certain chemicals or ingredients in your
20 facility, anything from things like.floor cleaning
21 materials, if they contained certain chemicals or
22 gasoline, you had to have them as well as other
23 industrial chemicals.
24 Q. This is a document Monsanto produced to us
25 in response to our request for production of
76 STLCOPCB4025381
1
documents.
I will ask you if this is the MSDS sheet
2
for Aroclor 1254 at Monsanto.
If you can tell me
3 the date. There are different dates on here.
4 A. It's my understanding from reading this,
5 okay, this is a Material Safety Data Sheet for this
6 particular product. The trade name is Aroclor
7
1254.
It was prepared in May of 1971 according to a
8 certain OSHA format, okay?
9 Q. And on the second page of that about half
10 way down. Section 7, it has spill or leak
11 procedures. Who would have determined what those
12 procedures were? Is it something that a federal
13 agency has told you or something that Monsanto
14 ^decided;especially?:
15 4
A. : I don't know, I wasn't involved in
16 preparation of this particular issue.
17 Q. But at that time, your spill and leak
18 procedures for Aroclor 1254 were apparently to
19 absorb other absorbent material, place in drums,
20 bury in approved chemical landfill i,n accordance
21 with state and legal regulations?
22 A. Correct.
23 Q. I can't read the form directly above that
24
statement I just told you.
Below that it says
25 "Waste disposal method." Then refers to burning in
77 STLCOPCB4025382
...
1 incinerators. What's the difference between those 2 two? 3 A. I would think the first was probably steps 4 to be taken or procedures to be followed. Then the 5 actual disposal might be cleanup procedures or steps 6 to take. 7 Q. How would you decide whether to burn it in 8 an incinerator or bury it in a chemical landfill? 9 A. Both of these say in accordance with local 10 and state regulations, so I would assume from 11 knowing what I know about MSDS now and from reading 12 this, there were probably set procedures at this 13 time that specified how and where chemicals could be 14 disposed of and that the first thing they told you 15 to do was you had to clean this up, and this is how 16 to clean it up. And then after you clean it up, 17 what do you do with it, and you have to follow the 18 existing regulations. And at this point in time 19 each state, each locale, some counties, have 20 different regulations. That's when the first 21 environmental regulations came to be. They were not 22 standard. EPA was probably not in place at this 23 time, and so the information is follow your local 24 regulation. 25 Q. So you didn't tell people to do anything
78
STLCOPCB4025383
.... V-i-
"A
1 other than comply with state and local regu.
2
. A.
These were usually fairly specific,
3 state and local regulations theoretically met the
4 required safety and health requirements known at the
5 time .
6 Q. I agree you shouldn't tell them not to
7 comply with the state and local regulations, just a
8 question of the company position was if they comply
9 with state and local regulations, they don't need to
10 do anything else?
11
A.
Fine.
They would satisfy the health and
12 safety requirements that were known at the time.
13 Q. Now I want to show you another sheet marked
..14. ^assPlaintiff ' s Exhibit 14, which appears to be more
" ; - - u~
: r
..
.
v 15.
current. . .
:r .'
;: f- :
#
: j 16 A. I'm very familiar with this, yes.
i 7
^::.'-:%--r':^-. * '
- >' V '
18
Q. What is this document? A. This is a newer version of the Material
19 Safety Data Sheet that I caused to be issued and
20 drafted shortly after I got this position, and you
21 can see the date is September 1988, and I know this
22 because it's page 1 of 4.
23 The Material Safety Data Sheets
24 roughly at this point in time were undergoing
>
25 revisions that were going to be required by the
79 STLCOPCB4025384
^nm-
1 federal government within the next calendar year and
2 so we were getting lots of questions as to do you
3 have a Material Safety Data Sheet on PCB's.
4 Generally, they were for all types of products.
5
These things just didn't exist.
There
6 is lots of confusion as to what is a PCB, what kind
7 of products and what not, so for our own use, for
8 our own plant facility use, for the general public
9 and regulatory agencies we produced what's called a
10 generic Material Safety Data Sheet for PCB's, which
11 is what this is.
12 Q. This document was prepared under your
13 direction?
14 A. This document was prepared under my
15 direction, yes, and my name appears on the last
16 page .
17 Q. Yes, and this document related to all PCB's
18 manufactured by Monsanto in 1980?
19 A. This document related to PCB's manufactured
20 by Monsanto and in general. We tried to put forth
21 as much information that was available in the public
22 domain as well as Monsanto's information relating to
23 these particular sections on PCB's.
24 Q. What persons would this have been made
25 available to?
80 STLCOPCB4025385
'i': ii ftiSwjwS
*T*
*/ti -
1 A. This was made available to all of our
2 facilities. It was made available to any customers,
3
former customers, who requested it.
It was made
4
available to regulatory agencies.
EPA requested
5 these and used these. We sent these out by the
6 hundreds. As a matter of fact, this particular
7 safety data sheet was a new format and this was
8 approved by OSHA as being equivalent to the short
9 form you showed me previously.
10 Q. But as far as customers are concerned, you
11 sent this only to those that requested it?
12 A. That's correct, because you were not
13 required to produce this document because PCB's were
14 :: not manufactured. Therefore, the document was
15 prepared and it was made available to anyone who
16 requested it.
17 Q. On the first page, half way down the first
18 page, there's a heading, "Warning Statements," and
19
there are various forms of the labels there.
It
20 says federal regulations under TSCA .require that
21 PCB's be marked with these labels.
22 When did you first start using labels
23 such as this?
24 A. The TSCA regulations were promulgated May
25 31st 1979. They became effective July 2nd 1979, and
81 STLCOPCB4025386
H-
there was some grace period when these labels were
required to be used. Might have been a year later
but at that time period. As soon as they were available people began to use them, including
Monsanto. Q. And I notice in each of these the biggest
most bold-faced print on any of those labels has
three letters, PCB? A. That's correct.
These are specific PCB
labels. PCB's are the only chemical name in the
Toxic Substances Control Act. Q. Prior to the effective date of TSCA did
you, or your company I mean, use labels that had PCB
:.in, big. bold-faced print?
, - MR. MONGE: Object to the form of the question on what is big bold-faced print, but if he
knows, he can certainly answer.
A. There were some labels that were for PCB's that were continued to be sold after the 1972 time
frame, and these were all labeled that it contains
PCB's in some way or another.
Q.
(By Mr. Baker)
Prior to the 1972 time
frame are you familiar with any label that Monsanto
produced that said PCB at all on it?
A. I don't know.
82 STLCOPCB4025387
' - -:S3
1 Q. You do have on the bottom of the front page
2 emergency and first aid procedures. The top of the
3 second page, occupational control procedures. Were
4 those different for PCB's than they were for other
5 compounds ?
6 A. There are some differences. These are
7 generally -- these will apply to many industrial
8 chemicals and they will more specifically apply to a
9 lot of chlorinated organic chemicals as well as
10
PCB's.
The first two, ingestion, skin contact, will
11 apply to anything except that -- well, it would
12 apply to any industrial chemical, so if you take the
13 name PCB out--
14 ; : Q.
Were these things required by federal law
15 or the things that Monsanto did on their own?
16 A. No, these were developed by Monsanto based
17 on our standard labeling practices and, again, some
18 were set up by industry groups.
19 Q. Under occupational control procedures, the
20 second heading there is Threshold Limit Value, TLV.
21 What is that?
22 A. OSHA had come into being, Occupational
23 Safety & Health Administration, at some point in
24 time about this time before 1980, I don't know
25 exactly when, probably the late '70's, and they had
83 STLCOPCB4025388
i begun to publish certain recommendations and
2 requirements. One thing OSHA published was -- this
3 is a particularly defined item. Threshold Limit
4 Value, and off the top of my head I can't tell you
5 exactly what it means because it differs a little
6 bit from a couple of other things, but the OSHA
7 standard and there's a table for various chemicals
8 that was subsequently incorporated into the OSHA
9
rules and regulations.
So this is the inhalation
10 standard, the only one that I know of that has force
11 of law behind it. This is the standard for a plant
12 or manufacturing facility. Do not exceed these
13 values.
14 Q.\. That is for the air?
15 .
A. That's air.
16 Q. And I notice there are two different
17 strength or percentage chlorine PCB's listed there;
18
42 percent and 54 percent.
I assume 42 percent is
19 Aroclor 42 and 54 percent is Aroclor 54?
20 A. That's correct, but the numbers are --
21 these are generic for any PCB's that had that
22 approximate content.
23 Q. Were there threshold limit values for any 24 other PCB's?
25 A. For whatever reason OSHA just decided to
84 STLCOPCB4025389
C&^rr***
r<7
1 pick two out of the range because they were a whole
2 range of products. These were the two that at this
3 time period were the most sold.
4 Q. So you believe the reason these two were
5 listed or were used by OSHA is they were most
6 prevalent ?
7
MR. MONGE:
If you know.
8 A. I don't know. That's my guess.
9
Q.
(By Mr. Baker)
It's interesting that 42
10 percent or Aroclor 1242 has a 1 milligram per -- is
11 that cubic meter?
12 A. Right.
13 Q. That's 1 milligram of PCB or 1242 per cubic
14 meter of air?
15 A. Correct.
16 Q. Then the 1254 limit is half that?
17 A. Right.
18 Q. Is that because someone thought that 1254
19 was twice as strong as 1242 in terms of potential
20 adverse effect?
,
21 A. I don't know what was in OSHA's mind when
22
they did that.
I can speculate and give you some
23 technical answers. One is -
24
MR. MONGE:
Don't speculate if you don't
25 know.
85 STLCOPCB4025390
Q.
(By Mr. Baker)
I don't want you to
speculate, but if you can give me some technical
answers as to why it would be acceptable to have
twice as much 1242 as 1254 -
MR. MONGE:
I don't mind him giving you
that but what I always concern myself with, Mike, is
that later on when we go to trial and you've got
somebody that comes on and says something completely
different and you put him on and he's trying to sit
there and defend what he said, and I don't want the
witness to get caught in that kind of a trap.
But
"with that understanding, if you want him to give you
- what he thinks. I'll let him do that.
LrLi't: Q* '
(By Mr. Baker)
What do you think?
A. I think it's not just a factor of two,
okay? I think they were trying to have a range.
They were always based on actual measurements.
They
tried to do an inhalation chamber, and inhalation
chamber experiments are a real bear to do.
1254 is
so less volatile than 1242 because the difference in
the inhalation is 150 degrees centigrade trying to
get the maximum tolerated dose to cause an effect.
They put rats in these things and try to make them
start gasping or something.
That's the may the
inhalation chamber is, that's what I think it is.
86 STLCOPCB4025391
,ic .
-r
1 and you just have trouble heating it hot enough, you
2 know, to get that much in the air because, you know,
3 unless the air is that hot, it's going to condense
4 and come back out as vapor, so I think that was
5 probably the upper limit they could attain, and I
6 don't know if that caused a problem. You would have
7 to go read the OSHA reports to find out. But that
8 is the published standard, and very seldom do you
9 find that in any plant facility. You can't measure
10 it that high.
11
Q.
I won't ask you any more about that.
I'm
12 not trying to set you up --
13
. A.
No,-but it's technical.
It's a good
14 tquestion, but you see how they do it --
15
. , Q.
The physiological effects?
16 A. Yes.
17 Q. And this was something that was prepared by
18 you or under your direction?
19 A. This was prepared under my direction.
20 Q. And you mentioned literature reports about
21 PCB's impairing reproduction function in monkeys?
22 A. Right.
23 Q. And reports about Aroclor 1260 causing
24 liver cancer. Then you have a study that you say
25 you did that didn't produce cancers. Then down
87 STLCOPCB4025392
1 below that --
2 A. National Cancer Institute did a study that
3 didn't produce cancer; not me, not myself.
4 Q. I thought the sentence before, that
5 Monsanto sponsored animal feeding studies.
6 A. I'm sorry, Monsanto spons oreci the studies.
7 t h at ' s correc t, and the National C ancer Institute
8 pe rformed stu dies a Iso, okay?
9 Q. Says it wa s not carcinoge nic under the
10 CO nditions of their bioassay?
11 A. That ' s the wording, exact iy, out of the
12 National Cancer Institute's report, they did not
13 find cancer.
lv:-' $ "
''
'
14 Q. 'V.Do you know what the conditions of their
15 bioassay were?
16 A. They were pretty much the conditions of the
17 worker who found cancer. This has been a subject of
18 scientific disagreement for decades. As a matter of
19 fact, it has just recently been redone, all of the
20 studies, and there is a question -- the question,
21 even now, is: Do PCB's cause cancer at all?
22 Q. But then in the next paragraph you noted
23 that the consistent finding in animal studies is
24 that they produce liver injury following prolonged
25 repeated exposure by any route.
88 STLCOPCB4025393
______________________ ___ __aM?-it4Mrifr-
'-! 4,.\
*3f*ri?*1
) . -. . . .
:<
)
1
A.
That's correct.
Same as any other
2
chlorinated hydrocarbon.
If you do that -- if you
3 substitute that, you could have taken that out and
4
put chlorobenzene, you get the same result.
Dry
5 cleaning fluid, chlorethylene.
6 Q. And then, finally, on the next page, your
7 reactivity data, you don't list a half-life but you
8 didn't know that, but you didn't know is a fair
9 statement ?
10 A. That's correct.
11 MR. BAKER: I would move Plaintiff's
12 Exhibit 14 be admitted into evidence.
13 ,.........
MR. MONGE:
I don't have any objection to
I A ',-y *.that. :. : : .
......' . ..
-
15 j
. Q. '(By Mr. Baker) Are you familiar with a
recent study done I believe in 1991 I believe at the
17 Bloomington Westinghouse Plant by the OSHA?
18 A. I have read the abstract of that study in
19 some of the newspaper accounts.
20 Q. Have you seen the full report?
21 A. I don't know if I've seen the full report
22 or not. As I say, I've seen an abstract and
23 sometimes a summary report is like that and a full
24
report is like that.
I don't think I've seen the
25 full report.
89 STLCOPCB4025394
1 Q. But you have seen the abstract?
2 A. I have seen the abstract.
3 Q. Do you recall the conclusion in that
4 report ?
5 A. I don't. There are a couple of reports 6 that have come out of that thing and I don't think
7 -- the results are somewhat contradictory from the
8 early reports to the later reports and I'd have to
9 have them in front of me to --
10 Q. If I told you that our view of that report
11 said that it concluded that exposure to PCB's may
12 cause a significant increase in the risk of brain
13 cancer, would you agree that was part of that report
14 or
.
15 .
MR. MONGE: My objection is that's your
16
conclusion.
He doesn't have the report in front of
17 him. He's told you that he doesn't recall exactly
18 what it said, but he can answer that to the extent
19 he can answer.
20
A.
I remember that report came out.
I think
21 it also says the results are not statistically
22
significant.
In scientific lingo it means it's
23 probably not so.
24 Q. I object to that answer, but I guess that's
25 not my job.
90 STLCOPCB4025395
1 Mr. Craddock, have there been
2 discussions, internal discussions, among Monsanto
3 executives concerning that report?
4 A. When you say internal discussions among
5 people in Monsanto, I've talked about it with people
6 that I work with, you know, because we follow these
7 things and we look at those things, and I don't know
8
how broadly they talk about it.
I'm sure that they
9
have.
I can't --
0 Q. I won't ask you any more about that.
1 Are you familiar at all with the
2 pamphlets that would have gone to some of the
3 customers who purchased Pydraul AC?
4 ;i . .-'i:: A.
Old sales literature?
5 Q .Yeah .
.
6 A. No, most of that stuff's out of print.
7 It's not even available.
8 Q. Do you know a gentleman by the name
9 D. A. Olsen?
0 A. Y e s .
,
1 Q. Is he still employed by Monsanto?
2 A. No, he's not.
3 Q. Is he still alive to your knowledge?
4
A.
To my knowledge, he's still alive.
Saw him
a couple of years ago at Christmas.
91 STLCOPCB4025396
.4i ,VLT*- "
/ ; . ,-.... .
-- : . , .
' ---" v:v ~ ''-'
.
.
... .......... ., .r
)i
Q. Do you have any idea where he lives?
2 A. He may still live here in St. Louis.
3 Q. You know a gentleman or a person by the
4 name of N. S. Johnson?
5
A.
I know the name.
I don't know him
6
personally.
I think he was a salesman at one point
7 in time.
8 Q. Do you know if he still is employed by
9 Monsanto?
10 A. No, I don't know.
11 Q. You don't know if he still lives in the St.
12 'Louis area?
) 13
A. No.
J.--',>&'.(.:iV.*fcoa<vi^trr^.x"-1\'-a - .'--`
?'*.. " 15
.. -
16 17
Q. Do you know a gentleman by the name of
Larry Bradford?
A. I know the name but I don't know him
personally.
I don't recall what his function was.
18 Q. You know whether he is employed with
19 Monsanto or lives in the St. Louis area?
20 A. I don't know.
,
21 Q. Do you know a gentleman by the name of
22 Howard Buergin?
23 A. I've met Howard Buergin and I know the
24 name. He's no longer with Monsanto.
) 25
Q. Do you know what his position was in the
92 STLCOPCB4025397
1 early '70's?
2 A. He might have been the division manager or
3 whatever it was, or the business group manager at
4
that point in time.
He might be dead now.
5
MR. MONGE:
I believe he is.
6 A. I think he's dead now.
7
Q.
(By Mr. Baker)
I only ask you these
8 questions because you're the first one here and you
9 signed interrogatories. We asked for production of
10 a number of documents and you provided us with a
11 number of documents. Part of that request was for
12 correspondence to and from Kentucky Hydrocarbon or
13 Equitable Resources. We were given copies of some
14 letters that were unaddressed that appeared to be
15 form letters that may have gone to any number of
16 companies, and I will tell you that many of those
17 things -- our position is that Kentucky Hydrocarbon
18 did not receive those.
19 I want to ask if there are any lists,
20 computer-generated or otherwise, that would show the
21 persons to whom these letters were sent or if there
22 are any copies that would have the addressee
23 actually listed on the letters?
24 A. To my knowledge there are no specific lists
25
of people who got those, or addressees.
To my
93 STLCOPCB4025398
A-:.;-?"
---.v .'Sfil
1 knowledge those letters were sent to anybody that
2 was on a computer sales list that had bought those
3
products at a given time.
Or whatever list.
I
4 don't know whether it was computed at that time or
5 not, but it was the sales list, whatever it was at
6 that time.
7 Q. Who would know what companies were on that
8 list ?
9 A. Well, as I say, I don't know if there is a
10
specific list.
It would be a list of customers.
If
11 we still have the list of customers it would be in
12
the archives with the rest of these documents.
If
13 that was one of these specific requests in that
14 .' document,, we made a diligent search. These people
15 were told.to look and see if you can find these
16 specific things and specific things that you had
17 asked me.
18 Q. Now I'm more interested right now in
19 persons who might have actual knowledge. We're
20 talking about going back 20 years. ,
21 A. I don't know who is left who would have
22
that.
I don't know.
I don't know.
I don't know
23 who was in the business group at that time other
24 than these letters that you showed me, and I don't
25 know who had responsibility for putting together
94 STLCOPCB4025399
1 that mailing list.
2
......
Q.
Something else that we've noticed.
It
3 appears to me that there were certified letters sent
4
to certain Therminol customers.
Do you know who
5 would have been involved in a decision to have sent
6 these letters in a way to have a record that they
7 had been sent and received to certain customers and
8 not send them to others?
9
A.
I don't know.
I wasn't involved at the
10 time and I don't know what the circumstances were,
11 why it was done one way or the other.
12 Q. Can you identify any of the persons who
13 were or might have been involved in that decision?
14 A. No, I couldn't tell you who was in what
15 position at that particular time off the top of my
16
head.
I just don't know.
17 Q. You've testified about some letters that
18 went to customers starting in 1970.
19 A. Yes.
20 Q. Does Monsanto have a position as to which
21 of those letters, if any, they contend were sent to
22 Kentucky Hydrocarbon?
23 A. I think it's Monsanto's position that
24 Kentucky Hydrocarbon was on one of our customer
25 lists and we have records of sales to the entity.
95 STLCOPCB4025400
ragSf***
1 whatever entity it was at the time. Companies
2 change name and addresses. They were specifically
3 sent a copy of that package of material.
4 Q. Of each of those?
5 A. Yes.
6 Q. So your position is that each of those were
7 sent to Kentucky Hydrocarbon?
8 A. It's my understanding.
9 Q. Other than copies of the form letters
10 without addressees, what evidence does Monsanto have
11 that any or all of those letters were sent to
12 Kentucky Hydrocarbon?
13 MR. MONGE: To the extent you know.
14 . : i : A.: ..I. don't know of any specific evidence that
15
we do have or that we don't have.
I just don't
16
know.
I was not involved, so I don't know.
17 Q. Who is C. B. Singleton? Did you know that
18 person ?
19
A..
I don't believe he was a salesman, I don't
20 know.
21 Q. We've already talked about Dr. Kelly I
22
believe.
Do you know what salesmen or salesman
23 would have been responsible for Kentucky between
2 4 1966 and 1971?
25 A. No.
96 STLCOPCB4025401
1 Q. Do you know what persons would have been
2 responsible for Pennsylvania?
3 A. No.
4 Q. Do you know anyone who could tell us what
5 salesmen were responsible for those areas?
6 A. I don't, I really don't. 7 Q. Do you know if the salesmen had territories
8 to service or if they were assigned just to
9 particular customers or how they were assigned?
10
A.
At that particular time, I don't know.
It
11 changed from management to management, how they run
12 their business.
13 Q. Mr. Craddock, in response to our request
14 for.production of documents there were some invoices
15 produced and some computerized sales records
16 produced. Do you know the source of those
17 documents?
18 MR. MONGE: Do you have them?
19 MR. BAKER: Yes, I can show each of them to
20 you.
;
21
Q.
(By Mr. Baker)
First one is marked
22 Plaintiff's Exhibit 29.
23 A. This is a copy of a documents that we had
24 available in our archives.
25 Q. If I'm not mistaken, there were none of
97 STLCOPCB4025402
1 these produced for periods prior to 1971, this kind
2 of invoice.
3 We know there were sales to Kentucky
4
Hydrocarbon several times before 1971.
Is there a
5 reason that there would not have been an invoice
6 like this that you're aware of?
7 A. Monsanto has a published records retention
8 policy, okay, like the sales records and all sorts
9
of things.
I don't know what the sales record
10 retention policy is, but normally it's nothing like
11 20-odd-years or something like this. PCB records,
12 there's a normal culling out period and they go from
13 files to archives for maybe five years and there was
14 .a point in time that we started getting requests for
15 records, PCB records from the government, from
16 various people, and we saved what information that
17 was available was left in the archives and what we
18 say is if we have the document, we know it's there.
19 If we don't have it doesn't mean it didn't happen.
20 Just means we don't have the record.. But that's the
21
reason.
It depends on some -- as with any company,
22 some people adhere strictly to the record retention
23 and some people never throw anything away and, you
24 know, we gathered what records were available and
25 this was, you know, done when this even started
98 STLCOPCB4025403
- : t', is-'-- - ........ - - ;
"
1 maybe before my predecessors and they started
2
putting this together.
It just means if we have the
3
record, we know it happened.
If we don't have the
4 record, we can't be sure. Doesn't mean it didn't.
5 Just means we didn't have the record. 6 Q. This Exhibit 29 does show a sale from
7 Monsanto to Kentucky Hydrocarbon Company, Langley,
8 Kentucky, shipped to Maytown, Kentucky of four
9 5-gallon cans of Pydraul AC in April of 1971.
10 MR. MONGE; Now that's Pydraul AC-A?
11 12 ^
A. "
A. (By Mr. Baker)
Okay.
With the correction.
Pydraul AC-A, it does show that sale in April 1971,
does it . not?
.
-' '
'
" - A.; That's correct. ...............
16 Q. What does the AC-A mean?
17 A. That, again, is an identifier to give you
18 that specific product, okay? And A was a variation
19
of AC.
Off the top of my head I don't have that.
20
I'd have to look and see.
It may have been -
21
there's no sense speculating.
I'd have to look and
22 see .
23 Q. Do you know if Pydraul AC-A contained
24 PCB's?
25
A.
I don't know without looking.
I really
99 STLCOPCB4025404
1 don't know. From the date, it could have been when
2 they were changing formulations that may not have
3
been a PCB formulation.
There were attempts to have
4 less persistent environmentally persistent products
5 because you couldn't just yank everything from a
6 customer and put him out of business, and there were
7 graduations in trying to get people over this time
8 period when the PCB-containing products were no
9 longer sold, and since this was May of '71 this may
10 have been one of the first variations of the AC, but
11 I'd have to look it up to tell you.
12 Q. I would ask, first, at some point you do
13
...... :y
14
that and have your counsel inform us of whether that was a PCB product.
15 uvf..-
MR. MONGE: Why don't you ask that? Make a
16 note to yourself there to ask Mr. Papageorge that.
17 MR. BAKER: That may resolve that problem.
18 Q. (By Mr. Baker) While you're on the
19 subject, you talk about reformulations. When did
20 Monsanto begin reformulating Pydraul in formulas
21 without PCB's?
22 MR. MONGE: Pydraul generally or Pydraul
23 AC, Mike?
24 MR. BAKER: Both.
25 A. I don't have a specific date, but roughly
100 STLCOPCB4025405
14
::S
-7-
1 this 1971-1972 time frame. There's a whole new
2 series of products that came out that had different
3 letters following the Pydraul name.
4 Q. (By Mr. Baker) Between 1966 and 1970 after
5 the report from Sweden, before 1970 did Monsanto
6 undertake any research or any work in developing new
7 products to replace Pydraul or for Pydraul AC?
8 A. I don't know.
9 Q. What is a PCT?
10 A. PCT is a polychlorinated terphenyl, which
11 means it has three phenyl rings linked together.
12 Q. Did some or all of the products that
yv-.
13 initially replaced PCB fluids, Pydraul fluids
14 containing PCB's, did they contain PCT?
15 ,
MR. MONGE: Let me object to the question
16 about PCT. As I understand the thrust of your
17 complaint, you complained about PCB's and not PCT's,
18 so I would object to the relevancy of questions
19 relating to PCT's. He certainly can answer the
20 question with that understanding. ,
21 A. It depended on what the application was
22 because PCT's were bulkier hydrocarbon molecules,
23 they had different properties. PCB's, a lot of them
24 were solids at room temperature so, obviously, that
25
wouldn't make a good lubricant.
It depended on what
101 STLCOPCB4025406
Wf:
1 it was formulated for and what else was in the
2 ingredient, but it did have -- it had the
3 fire-resistant, explosive-resistant property, so
4 where it could be used in some cases, it was used.
5 Q. So in some cases Pydraul fire-resistant
6 lubricants that contained PCB's were replaced by
7 Pydraul fire-resistant lubricants that contained
8 PCT's?
9 A. I say they may have been but I'd have to
10 look.
11 Q. If that is the case, were the PCT products
12 later replaced by other products that contained
13 either PCB's or PCT's?
14 MR. MONGE: Same objection to the
15 relevancy, but you may answer.
16
V'A.
Yes. Ultimately, Pydraul fluids were
17 totally reformulated without PCB's and without
18 PCT's.
19 Q. Do you know what is contained in the
20 product that most closely resembles Pydraul AC, the
21 reformulated product that contained either PCB's or
22 PCT's?
23 A. I have to look it up. Off the top of my
24 head, I don't know.
25 Q. Are you familiar with Pydraul 90-E?
102 STLCOPCB4025407
S&'
. ; '
..
1
A.
I know the name and know that it was a -
2 the "E" was in the first round of products that was
3 believed to be environmentally acceptable and "E"
4 was the code for that, but the 90, I can't tell you
5 what the other ingredients were. But the "E" is
6 strictly an identifier so you know that that was
7 specifically designed to be environmentally
8 acceptable.
9 Q. Do you know roughly when that product first
10 became available?
11
A.
I can't tell you.
Sometime after '72 I
12
would guess, plus or minus.
I wouldn't say minus
13 but could be a year or two later.
14 ,
Q. . Is that product still being used?
15 A. I believe it is still sold. Monsanto no
16 longer has the Pydraul line but the trademark and
17 line has been sold to another company. But it's my
18 understanding it is still sold.
19 Q. Approximately when was that trademark sold?
20 A. In the past couple of years.
21 Q. To whom?
22 A. It's either -- there's two companies and it
23 might be Stauffer Chemical, S-T-A-U-F-F-E-R. One is
24
the food company.
I think it's Stauffer Chemical
25 who is in the phosphate ester business.
103 STLCOPCB4025408
' ~
-
1 Q. Is ester, is that related to the "E" in
2 90-E at all?
3 A. No, an ester is a chemical reaction to give
4 you a different class of compound.
5 Q. Does Monsanto currently make any
6 fire-resistant lubricants?
7 A. We may but I'm not sure because I'm not in
8
the product group.
I just can't answer that.
We
9 have some functional fluids but I'm not sure.
10 Q. But you did produce some other records
11
concerning sales to Kentucky Hydrocarbon.
I'll just
12 go through these very quickly.
13 rv;& 14
*
15
First is marked as Plaintiff's Exhibit
30.and I'll ask you if you can identify this.
Says
Sales Summary" at the top.
16 >
A. These are documents that went to the
17 salesmen each month so you could see what is being
18 sold to whom, and this was just a copy of one that
19 was found in our file.
20 Q. Is there anything on here that would
21 identify the salesman?
22 A. Probably one of the numbers should but I'm
23
not sure which one.
I can't read the things at the
24 top. There should be an identifier on this there.
25 It either went to the sales -- either went back to
104 STLCOPCB4025409
stoivSf
1 the salesman or went to the Marketing Department
2 showing shipment was made to that particular
3 customer at that time.
4 Q. Up in the far right-hand corner is a number
5 471, and I can't read -
6 A. I can't read that either.
7 Q. -- the legend on that?
8 MR. MONGE: We'll try and find you
9
something that shows what that is.
I don't know
10 what it is either.
11 A. I can't read that. Maybe that's a page
12 number.
13 MR. MONGE: We'll find something and let
14 you know what that is.
15 Q. (By Mr. Baker) And this shows 165 pounds
16 apparently being sold to Kentucky Hydrocarbon in
17 Langley, K, which I assume is Kentucky, December
18 1959; is that correct?
19 A. That's correct. That's the way I read
2 0 that.
,
21 Q. In gallons, how much would 165 pounds be?
22 A. If it's a hundred percent PCB it's
23 approximately 12 and a half pounds per gallon.
24 That's a rough number you can use for all PCB's.
25 Q. So that would be about 15 gallons, or about
105 STLCOPCB4025410
1 three 5-gallon cans?
2 A. That's what it.looks like.
3 Q. I'll just quickly show you some other like
4
that.
Exhibit 31 is a similar sheet.
In the upper
5 right-hand column it has No. 573 and I can read a
6
P-A -- looks like a "G" there.
It may be a page
7 number but we'll check on that tomorrow.
8 This, again, shows 55 pounds of
9 Pydraul AC being sold to Equitable Gas Company.
10 Doesn't have an address there.
11 Would^ there be anything in your
12 records that would show where that was shipped to?
13 A. Not -- I think this is probably the
14 document that we had that that was produced, I don't
15 know.
:
16 Q. That's in December 1966, is it not?
17 A. Yeah.
18 Q. I'll show you another one that's dated
19 December 1965. This says page number clearly at the
20 top. Now we know.
,
21 A. I'll stand corrected on one thing I said.
22 This might be the summary for the year. This could
23 be a year end summary, okay? I don't know whether
24 this is -- says by month so it's probably December.
25 Maybe just bought before the money ran out.
106 STLCOPCB4025411
1 Q. This doesn't show any numbers on it.
2 Apparently there was a sale, December 1965, with
3 nothing on this sheet that would show how much.
4 A. This may have showed this customer didn't
5 buy anything.
6 Q. So, Mr. Craddock, you really don't know
7 what this represents, do you?
8 A. No, I don't.
9
Q.
I think we have two more.
This is one for
10 December 1967, has Kentucky Hydrocarbon Company
11 listed here, marked as Plaintiff's Exhibit No. 33.
12 And, again, this doesn't show any numbers for sales,
13 so I assume you have the same answer as you did for
14 3lthe last one. You don't know whether there were
-
15 sales for that month or what this document
16 represents?
17 A. That's right.
18 Q. Up at the top of Exhibit 33, top left-hand
19 corner, is printed "Inorganic No. 2." I noticed on
20 the prior one it said "Direct No. 2."
21 Do you have any idea what those words
22 mean on these documents?
23 A. I don't know, they were just -- I don't
24 know whether it's accounting or billing or who put
25 out a series of reports, you know, and it's probably
107 STLCOPCB4025412
t.. . "vxr'iffai
1 just the name of the report.
2 Q. Finally/ unless I have missed one, there is
3 Plaintiff's Exhibit 34, which is December 1968 and
4 is another sales summary form, says "Organic No. 2"
5 at the left-hand column. This shows Kentucky
6 Hydrocarbon Company and does list 226 pounds. Let
7 me ask you a couple of general questions about all
8 of these.
9 Is it your testimony that these were
10 found in your records and you don't know where they
11 came from or exactly what they mean?
12 A. My testimony is that these are from our
13 archives, okay? These are documents that have the
14 names of the companies that you asked us to
15
service.
These are the records we have.
It's a
16
sales summary.
I don't know any more than that.
It
17 indicates that summary of sales for the particular
18 entity, quantity at that particular time. That's
19 just the records that we have.
20 Q. You can't testify that these sales occurred
21 or that there weren't other sales to Kentucky
22 Hydrocarbon that aren't reflected on any of these
23 sheets ?
24 A. That's correct.
25 Q. Are you familiar with a person by the name
108 STLCOPCB4025413
\" J&`rcs.
----`
`,yiv! y>.^TA
1 of Farar Hodges? F-A-R-A-R is the way I have it.
2 ...... A.
No.
.
3 Q. Or John Richard Wheeler?
4 A. No.
5 Q. I believe you've probably answered this
6 about two or three times already in different
7 forms. Were you involved at all in the corporate
8 management committee in the early 1970's?
9 A. No.
10 Q. Are you familiar with a gentleman by the
11 name of John Mason?
12
>
*=h^':'feis;r ` 13
A. There are several John Masons at Monsanto. There is a contemporary of mine that I know very
... . :4Mr^ 14 .. well who came in as a chemist about the time I did.
" 15 That's one John Mason. He's now President of
,;
i6
Monsanto Fund.
17 There is another John Mason who is the
18 director or manager of University Relations. That's
19 two that I know.
20
Q. University Relations?
;
21 A. Yeah, colleges, grants and stuff like that,
22 recruiting, all that sort of thing.
23 Q. And both of those are still around the St.
24 Louis area?
25 A. Yes.
109 STLCOPCB4025414
i'-'-z
i Q. Do you know a J. H. Davison?
2 A. Don't think so. 3 Q. In one of the earlier documents referring
4 to waste disposal -- it was the 1971 MSDS form - 5 you talked about incineration as a possible means of
6
waste disposal.
I'll speak specifically about
7 Pydraul AC with 1254.
8 Does it take very high temperatures to
9 incinerate that product?
10 A. Again, this is a question of relatively how
11 high is high. Takes about 1,200 degrees
12 centigrade. That's significantly less than a blast
13
furnace that runs at 3,000 or so.
Incineration is a
14 specific chemical process, a controlled process,
15 that's contrasted to open burning a brush pile and
16
burn it.
So, relatively, it's high but it's not as
17 high as -- it's an intermediate range I would say.
18 Q. Did Monsanto have a specific incinerator
19 for PCB products?
20 A. We had an incinerator for PCB's products
21
with a specific for PCB's.
I don't know the
22 particulars of that. We did burn PCB's and other
23 chlorinated products in an incinerator.
24 Q. At least you did have an incinerator that
25 you did use for PCB's. Maybe it's good for
110 STLCOPCB4025415
"~:'T..:
somethin gelsetoo?
......... A.
Right.
It's designed for PCB's.
Q. Was there just one that was used for PCB's to your knowledge?
A. Yes.
Q. Where was it located? A. It was located in the Krummrich Plant at
Sauget, Illinois.
Q. When did you first start using that incinerator for PCB products?
A. I don't know specifically when that
incinerator came along.
\ Q
Was it there prior to 1970?
^" - A
I can't tell you when it came on but it was
certainly designed to be used at that plant.
I
don't know the time.
Q. or not?
You don't know whether it was there in 1970
A.
I believe it was there in 1970.
I don't
know when it first came on though.
I can't tell you
that.
Q. When Monsanto decided to phase out Pydraul AC, what did you tell your customers about it and
what was your policy on products they may not have
used already?
Ill STLCOPCB4025416
-T-*
1 MR. MONGE: To the extent that you know.
2
A.
I don't know the specifics.
The policy was
3 generally outlined in those series of form letters
4 that we've discussed and I don't know the business
5 arrangements with particular products, I can't
6 answer that.
7
Q.
(By Mr. Baker)
Do you know whether
8 Monsanto offered to buy back unused portions of
9 Pydraul AC?
10 A. I don't know.
11 Q. Do you know whether Monsanto offered to 12 incinerate leftover Pydraul AC for its customers?
13 A. As far as Pydraul AC, I can't specifically
14 answer, but I know that we had a plan and a program
15 and a policy to incinerate PCB's for our customers
16 that came in in this early '70's time frame when the
17 phaseout program came in, and the reason for this
18 was that the problem was persistence in the
19 environment. We were going to get out of the
20 business because we didn't want PCB's to be disposed
21 of improperly. We made available to our customers
22 the means that we had at our disposal for handling
23 products at our plant, and so the offer was made to
24 customers, if they would get the material to our
25 plant, I think they were required to pay shipping
112 STLCOPCB4025417
Ate-
r-i-.K
1 and we would incinerate it for something like fuel
2 cost, which is like two or three cents a pound
3 versus --
4 Q. Did you take any steps to encourage them to
5 do that or offer them any incentive on replacement
6 products ?
7 A. There were steps taken to encourage the use
8 of incineration but I don't know the details of
9 whether they were incentives or whether it was just
10 -- I know there were affirmative plans to make this
11 information known to the customers and to get them 12 to use it, and what they did, I don't know.
13 Q. What about customers who had a system where
14 they-were using Pydraul AC and they wanted to switch
15 over to a non-PCB product? Did Monsanto do anything
1 6 to offer to clean out their systems for them or give
17 them advice on how to clean out the system or to
18 your knowledge was there any that have offered?
19
A.
I really don't know.
I wasn't involved
20 with that.
t
21 (A brief recess was taken.)
22
Q.
(By Mr. Baker)
Mr. Craddock, we'll try to
23 finish up here shortly.
24 We were talking about incineration,
25 and in your testimony you gave the answer I think
113 STLCOPCB4025418
-*
that was consistent with your answer to
interrogatories about incineration, that there was
some offer at a price for Monsanto to incinerate PCB
fluids for its customers.
Do you have any evidence that an offer
like that was ever made to Kentucky Hydrocarbon or
to Equitable?
A.
I personally don't have anything.
I think
if you request it in the interrogatory it was
included, you know, in the document production but I
personally don't have any evidence of it.
Q. You don't know of any written or oral
communications to Kentucky Hydrocarbon or Equitable
other than what you've produced?
A. ,
That's correct.
Personally, I have no
knowledge.
Q. I'm going to show you a document that you
produced to us that's marked as Plaintiff's Exhibit
69.
This is a letter on Monsanto letterhead dated
December 21st 1979 to
Mr. Roger Williams at the EPA.
It's signed by
Clayton Callis, direc tor of Environmental
Operations.
Did you work for Mr. Callis, or with
him?
114 STLCOPCB4025419
.41.1
f'rr.
-V::
..'Y- -----
1 A. I worked with him during the time period
2 that I was in MIC Environmental Operations. He was
3 not my direct boss but he was the director of
4 Environmental Operations and my boss reported to
5 him.
6 Q. Are you familiar with the discussions that
7 led up to this letter?
8 A. No.
9 Q. Are you familiar with the situation that
10 caused this letter?
11 A. No, I'm not.
12
Q
Is Mr. Callis still alive today?
13 A. Yes, he is.
14 Q. Do you know if he works for Monsanto?
15 , A.
No, he's retired.
16 Q. Do you know whether he lives in the St. 17 Louis area?
18 A. I would say yes, except that he may still
19 have his house here. His wife died recently and I
20 heard that was living in Columbus, Ohio, and he
21 might be doing some work there for the American
22 Chemical Society. He's past President of the
23
American Chemical Society, so I don't know.
He may
24 still have a mailing address.
25 Q. Are you familiar with a person named
115 STLCOPCB4025420
-iiy.VYi-.
1 W. N. Maddox?
2 A. No.
3 Q. G. R. Buchanan?
4 A. No.
5 Q. D. Wood? 6 A. David Wood probably, if that's David Wood.
7 Q. Is he still alive?
8 A. Still alive.
9 Q. Still works for Monsanto?
10 A. Still works for Monsanto I believe.
11 Q Do you know what his job was with Monsanto
12 r back in the '70's?
...........................
- -V
13 A. He was involved with PCB's at some time
" ....' ~ '
'
14 period there before I became involved.
15 Q. We talked earlier about some of the acute
16 testing that was done on the PCB's in the Aroclor
17 products.
18 What sort of chronic testing -- first
19 of all, what's the difference between acute testing
20 and chronic testing?
21 A. Acute or short-term results just to get an
22 indication of a short-term exposure, like sometimes
23 we call it a casual exposure, okay; somebody
24 ingesting it quickly or getting it spilled on them
25 or walking through it, something like that, so acute
116 STLCOPCB4025421
1 is usually -- some people describe it as a one time
2 short-term exposure.
3 Chronic exposure includes up to
4 lifetime studies for the specific species being
5 tested; high doses constantly for a lifetime.
6 Q. Did Monsanto conduct any chronic testing of
7 PCB ' s?
8 A. Yes, they did.
9
10
Q. Starting when? A. Roughly in the late '60's, early '70's
11 maybe. 12 Q.
So prior to the late '60's or early '70's
13 Monsanto had done no chronic testing?
14
A.
I don't know to the extent.
I know that
15 ; the lifetime studies were started about that time.
16 Whether they had done any preliminary stuff up to
17 then -- as I mentioned earlier, these things go in
18 stages and I just don't know the dates.
19 Q. Since 1935 have there been any other
20 manufacturers of PCB's in the United States? 21 A. EPA reports there was one, but it was small 22 and --
23 Q. Do you know who it was and roughly when?
24 A. I seen their name but if my life depended
25 on it, I couldn't tell you.
117 STLCOPCB4025422
1 Q. It doesn't.
2 A. They were a small manufacturer.
3 Q. So it's safe to say that 99 percent or more
4 of the PCB's manufactured in the United States were
5 manufactured by Monsanto?
6 A. I don't know if it said 99 percent, but
7 Monsanto, we were a major producer of PCB's in the
8 United States.
9 Q. Do you know whether your production
10 increased or decreased between 1966 and 1970?
11 A. Offhand, I can't tell you, but these
12 numbers have been published. They are in EPA
13 reports, they are available.
14
Q.
In the beginning I asked you about
15 testimony in prior litigation. Have you appeared
16 before Congress or any committees of Congress
17 concerning PCB's?
18 A. Yes.
19 Q. Approximately when and how many times?
20 A. I probably have been before Congressional 21 committees half a dozen times since -- probably 22 since 1983.
23 Q. Have you appeared before the EPA or any
24 branches of the EPA?
25 A. Yes.
118 STLCOPCB4025423
.inahyfeij
' ~--V-. :
;r-#> -fy-'-Tr--- 4-~
V
.........
`
.
. ...
.'
. .
.
^ -
. 1
Q. When and approximately how many times?
2 A. EPA, probably a half dozen to a dozen
3 times. Most recently was this past summer.
4 revitalization hearings in Washington.
5 Q. Do you know if there are any transcripts of
6 your Congressional testimony or your agency
7 testimony?
8 A. There probably are. They usually keep
9 transcripts I believe or copies of testimony is
10 provided to them.
11 Q. Do you know if Monsanto would have obtained
AV
12
^ : 13
copies of those or any of those? A. I don't believe they would.
I testified in
;. . - 14
. .. <*:-. ^.w.-."; .... ' 15
my. capacity as chairman of the Chemical i Manufacturers Association PCB panel and also as
16 -^, J 17
; cochairman of the industry PCB consensus group. "which is a consortium of trade associations working
18 with EPA regulations.
19 Q. Do you have copies of any of those
20 transcripts?
(
21
A.
I wouldn't have transcripts.
I may have
22 copies of my remarks.
23
MR. BAKER:
I would ask, first, if Monsanto
24 has in its custody or control any transcripts of
^ 25 Congressional testimony or administrative agency
119 STLCOPCB4025424
1 testimony concerning PCB's by this witness, that we
2 be given copies of those.
3 And I would ask, second, if the
4 witness does not object, that you provide us with
5 copies of any of your remarks to Congress or any of
6 its committees or administrative agencies concerning
7 PCB's.
8 MR. MONGE: My response to that is I'll
9 find out what I can and I'll let you know one way or
10 the other.
11
Q.
(By Mr. Baker)
Mr. Craddock, you testified
12 earlier that Monsanto and others conducted animal
studies?
A. Yes. /. . .
Q. And that in the United States you couldn't
conduct studies on humans?
17 A. That's correct.
18 Q. But that your studies in the potential
19 adverse effects of substances on humans were done by
20 conducting studies with animals; is that correct? 21 A. Well, when you are testing chemicals the 22 standard protocol is to test animals, that's
23 correct.
24 Q. I assume one reason for this is you can't
25 do it on humans and probably would choose to use
120 STLCOPCB4025425
7
ijjr
rats instead, even if you could.
2 ..........
Is another reason that you believe you
3 learn something from the effect on animals that
4 translates into what the effect will be on humans?
5 A. Well, this is highly debatable as to how
6 direct you can translate animal effects to humans.
7 There are some things -- I guess it's generally
8 accepted that there is some effects, maybe 50 to 60,
9 70 percent of the time that you can predict, but
10 then you get to -- they are finding more and more
11 exceptions because the metabolism of different
; 12
species is totally different and therein lies the
is: ,ii 7-7"
-7 . 7 :
problem.
For instance,
7?7-.,:-.77--,v >77 ' . 7. - :
-
-
trying
to
think
of
an
:example that they used -- there's something that
.they tested on rats and it was very detrimental to
16 the rats but yet it turns out it's something that
17
doesn't have the same effect on humans.
It's almost
18 like -- not a cancer cure but it's a significant
19 thing, but there's just drastic differences there.
20 A pharmacologist or toxicologist cou,ld explain that 21 better than I can. 22 Q. I'm not suggesting there aren't differences
23 but there are also some similarities is the reason
24 you use animals for testing?
25
A.
Yes, 50 to 60 percent.
It's not perfect
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SIGNATURE OF WITNESS
day of,
JOHN CRADDOCK, Ph. D.
Subscribed and sworn before me this, 1992 .
Notary Public My Commission Expires:
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