Document mBOEKORjaQMdYjkVVzr5JBjpd
STATE OF VERMONT CHITTENDEN COUNTY, SS.
CHITTENDEN SUPERIOR COURT DOCKET NO. s 0084-87
THE UNIVERSITY OF VERMONT and STATE AGRICULTURAL COLLEGE,
Plaintiffs, v. U.S. MINERAL COMPANY,
Defendant.
RESPONSE OF U.S. MINERAL PRODUCTS TO PLAINTIFFS' THIRD SET OF INTERROGATORIES TO DEFENDANT
PREAMBLE
COMES NOW UNITED STATES MINERAL PRODUCTS COMPANY ("USM") , and answers the Plaintiffs' Interrogatories.
Most of these interrogatories pertain to events that occurred many years ago. Therefore, in gathering the information to respond to these interrogatories, USM and its counsel have had to rely on many documents and the information contained therein. In addition, USM and its counsel have relied on the- memories of officers and employees who have been with the company, since the 1950s and 1960s. USM and its counsel have also acquired information from discovery in other cases, and this information may form the basis for a particular answer Because the process of document review is ongoing, and because new and/or additional information about past events is sometimes acquired, USM reserves its right to supplement and/or to amend these answers in the event that more or more accurate information becomes available.
Additionally, this defendant only manufactured and sold
asbestos-containing products from 1954 through 1972.
Unless
otherwise stated in a specific answer to an interrogatory the
answers to these interrogatories shall be limited to those
products, that period of time, and to the State of Vermont.
INTERROGATORIES
INTERROGATORY NO. 1:
List by brand name, manufacturer, and dates of production every non-asbestos-containing spray or trowel-applied fireproofing or ceiling product manufactured or distributed by any other company prior to July 4, 1973, of which you are present aware.
ANSWER:
Objection. This interrogatory is overly broad and unduly burdensome. Moreover, it seeks information irrelevant to the plaintiff's claim against U.S. Mineral about products never manufactured by USM. Furthermore, it seeks information not in U.S. Mineral's possession and equally available to plaintiff from other sources.
INTERROGATORY NO. 2:
List by brand name and dates of production every non-asbestoscontaining fireproofing product, every non-asbestos-containing acoustical ceiling product, and every non-asbestos-containing spray-applied or trowel-applied ceiling product which you have ever manufactured or distributed. As to each such product, state the following:
(a) type of product (e.q.. acoustical plaster, fireproofing, etc.);
(b) the approximate area (e.q.. square feet or linear feet) which each package of the product would cover;
(c) the suggested retail price for each package of the product for each year the product was produced;
(d) . the method of application fe.g.. spray, trowel, etc.);
(e) its ingredients and exact percentages of each such ingredient;
(f) a description of its packaging; and
(g) dates of manufacture.
ANSWER:
Objection. This interrogatory is overly broad and burdensome. Moreover, it seeks information irrelevant to the plaintiffs against U.S. Mineral. Without waiving these objections, U.S. Mineral responds as follows: The CAFCO line of products was modified during the period 1969-1971 to become asbestos-free. These same CAFCO products were marketed under the same tradenames, but were differentiated from the asbestoscontaining products by the insignia "c/f".
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INTERROGATORY NO. 3:
List by brand name and dates of production every asbestoscontaining fireproofing product, every asbestos-containing acoustical ceiling product, and every asbestos-containing sprayapplied or trowel-applied ceiling product which you have ever manufactured or distributed. As to each such product, state the following:
(a) type of product (e.q., acoustical plaster, fireproofing, etc.);
(b) the approximate area (e.q., square feet or linear feet) which each package of the product would cover;
(c) the suggested retail price for each package of the product for each year the product was produced;
(d) the method of application (e.q.. spray, trowel,-etc.);
(e) its ingredients and exact percentages or each such ingredient;
(f) a description of its packaging; and
(g) dates of manufacture.
ANSWER:
(a,g) Please see Exhibit "A".
(b,c,d,'f) Objection. This interrogatory is overly broad and unduly burdensome.
(e) Objection.
This interrogatory seeks proprietary,
confidential information which is protected from disclosure
by principles of trade secrecy.
Furthermore, the
Interrogatory is overly broad and seeks information regarding
products not relevant to plaintiffs7 claim. Without waiving
this objection, U.S. Mineral responds as follows:
U.S.
Mineral will provide the formulas for its asbestos-containing
products to plaintiff's counsel subject to a protective order
guarding against unnecessary disclosure of proprietary
information.
INTERROGATORY NO. 4:
Describe in detail any research, testing, study or analysis performed by or for you pertaining to the quality and/or performance of your asbestos-containing fireproofing products or asbestos-containing spray-applied or trowel-applied ceiling
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products to determine the effect of water damage, mold, rust, condensation, wind, impact, vandalism, aging, and other forms of wear, tear and abrasion on the quality or performance and/or field success or failure of such products.
ANSWER:
See report of Michael Kodaras attached. In addition, U.s.
Mineral believes that during the years that it manufactured
asbestos-containing products, in-house tests for the purpose
of determining and improving product performance were
regularly performed.
Some of these tests may have been
related to factors listed in this interrogatory, but U.s.
Mineral cannot presently provide details about these tests.
INTERROGATORY NO. 5:
Describe in detail any research, testing or studies of any kind you or anyone on your behalf has ever conducted to determine whether any of your asbestos-containing fireproofing products or asbestos-containing spray-applied or trowel-applied ceiling products posed any hazards or dangers to the health or safety of those persons, including maintenance men, who would apply such products in buildings or utilize, inhabit, or otherwise occupy buildings or structures in which these products had been applied.
ANSWER:
U.S. Mineral did not conduct any medical or scientific research on the effects of asbestos exposure.
INTERROGATORY NO. 6:
Under what circumstances would you recommend removal, encapsulation, enclosure, or assessment of your in-place asbestoscontaining materials; or an operations and maintenance plan because of the existence thereof.
ANSWER:
Objection. This interrogatory is overly broad, vague and ambiguous; it calls for speculation. Moreover, it seeks opinions not relevant to plaintiff's claim. In addition, the interrogatory seeks experts' opinions from a party to this case.
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INTERROGATORY NO. 7 :
State the number of requests you have received by or on behalf of a building owner to abate in-place asbestos-containing materials which allegedly presented a present or potential hazard by reason of the asbestos, and the number of occasions you have agreed to undertake any abatement.
ANSWER:
Objection. ambiguous. this claim.
This interrogatory is overly broad, vague and Furthermore, it seeks information irrelevant to
INTERROGATORY NO. 8:
___
Identify each notice, claim, allegation, or statement that you have ever received that an injury or disease resulted from exposure to an in-place asbestos-containing product or exposure to or use of an in-place asbestos-containing product.
ANSWER:
Objection. This interrogatory is overly broad, vague and
ambiguous.
Moreover, it seeks information irrelevant to
plaintiff's claim. Without waiving these objections, U.S.
Mineral responds as follows: the only instance involving such
exposure to a U.S. Mineral product that U.S. Mineral knows of
are the cases of Geraldine Layne and William Ball.
INTERROGATORY NO. 9:
State the following with respect to buildings owned or occupied by you:
(a) the identity of all facilities where any of your asbestos-containing fireproofing or asbestos-containing ceiling products have been placed since 1954?
(b) the identity of all facilities where any asbestoscontaining construction product has been separately removed, encapsulated or enclosed, whether or not in connection with renovation or demolition?
(c) the identity of all facilities where samples of any asbestos product have been taken for analysis, the
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identity of all documents- generated thereby, and the identity of the person who has custody of such documents; and
(d) the identity of all facilities where air samples have been taken to determine the concentration of airborne asbestos, the identity of all documents generated thereby, and the identity of the person who has custody of such documents.
ANSWER:
Objection.
This interrogatory is overly broad, unduly
burdensome and not reasonably calculated to lead to the
discovery of admissible evidence.
Moreover, it seeks
information irrelevant to the plaintiff's claim.
INTERROGATORY NO. 102
List and identify each person whom you expect to call as an expert witness at trial, and with respect to each, the subject matter on which the expert is expected to testify, the substance of the facts and opinions to which the expert is expected to testify, and a summary of the grounds for each opinion.
ANSWER:
Please see Defendant's Answers to: Plaintiff's First Set of Interrogatories, Response to Interrogatory No. 27.
INTERROGATORY NO. 11:
Please specify the type(s) of asbestos Te.a. Chrysotile, Crocidolite, Amosite, Anthophyllite, Actinolite or Tremolite) that were contained in the asbestos-containing ceiling products and/or fireproofing sold by you, and for each, give the reason for the presence of the type of asbestos (e.q. . added, pre-existing contaminant).
ANSWER:
Objection. This interrogatory is overly broad and burdensome
and seeks privileged information irrelevant to the plaintiff's
claim.
Without waiving these objections, U.S. Mineral
responds as follows: Chrysotile.
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INTERROGATORY NO. 12:
State when you last stopped manufacturing/selling products that contained asbestos as one of their components or ingredients in the United States or elsewhere in the world.
ANSWER:
1972.
INTERROGATORY NO. 13:
State all reasons why you stopped manufacturing and selling products that contained asbestos, with specific reference to whether or not the possibility that asbestos was a health hazard had anything to do with your decision.
ANSWER:
Objection. This interrogatory seeks irrelevant information.
Without waiving its objection, U.S. Mineral responds as
follows:
U.S. Mineral stopped manufacturing asbestos-*
containing products due to a decline in demand for asbestos-
containing products, which was cause, at least in part, by
increasing concerns about the exposure to asbestos of workers
handling or using these products.
INTERROGATORY NO. 14:
Describe any notice received by you prior to 1962 that any person was claiming or had claimed injury as a result of exposure to a material or product containing asbestos mined, manufactured and/or sold by you, your predecessors or your subsidiaries.
ANSWER:
.Not applicable.
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INTERROGATORY NO 15: Please state when and from what source you, your predecessor
or subsidiary first acquired knowledge concerning an association between:
(a) asbestos exposure and cancer (including, but not limited to mesothelioma and lung cancer); and
(b) asbestos exposure and asbestosis. Your answer should be directed to asbestos in general and not restricted to acoustical plaster or fireproofing. *' ANSWER:
U.S. Mineral cannot identify exactly when or how it first received information that asbestos exposure was being associated with these specific diseases. - However-?- U.S. Mineral believes that it knew of the disease asbestosis in the mid-1950's and that it heard of studies about lung cancer and mesothelioma in the mid-1960's.
INTERROGATORY NO. 16: Has U.S. Mineral or any of its subsidiaries or predecessors
ever mined Erionite or an ore that was contaminated with Erionite in the United States? If so, please identify the location where Erionite was' mined, the years of the mining operation as well as the name of the entity actually performing the mining operation. ANSWER:
No.
INTERROGATORY NO. 17:
If the answer to the preceding Interrogatory is yes, to whom was the Erionite or ore identified in the preceding Interrogatory sold and for what purpose? ANSWER:
Not applicable.
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INTERROGATORY NO. 18:
Please describe in detail all information you provided to any architect, contractor, or building owner prior to 1971, informing the recipient about any potential health hazard from your asbestoscontaining fireproofing or asbestos-containing ceiling products, and state whether or not this information was provided in response to specific inquiry about the health hazards of asbestos from such architect, contractor, or building owner.
ANSWER:
During the entire period CAFCO asbestos-containing products
were manufactured, written instructions were supplied to the
company's licensed applicators. The CAFCO application manual
required that workers in proximity to the spraying be equipped
with dust masks approved by the United States government for
prevention of pneumoconiosis. Also beginning in May, 1962,
the following warning prominently appeared on all asbestos-
containing CAFCO bags:
~--
"CAUTION"
This product contains asbestos.
Inhalation of
asbestos dust over long periods may be harmful. If
employees are exposed to dust during use and
application, those employees should be equipped with
adequate personal protective devices.
In addition, in the late 1960's, U.S. Mineral provided its
licensed applicators with the SMFMA Recommended Code of
Practices for Application of Sprayed Fireproofing.
This
information was not provided in response to any specific
inquiries. Please also see attached letter from John F.
O'Rourke, Vice President of U.S. Mineral Products, to Mr.
Alton Evans, Project Manager at the Cleveland Federal Office
Building, dated June 3, 1966.
INTERROGATORY NO. 19:
Please explain how a contractor or architect reading a U.S. Mineral invoice during the period 1954-1971 could tell whether the product reflected on the invoice contained asbestos.
ANSWER:
Objection. This interrogatory calls for speculation and is
vague, ambiguous and misleading.
Moreover, it seeks
irrelevant information. Without waiving its objections, U.S.
Mineral responds as follows:
By the time an architect
specifying the product or the contractor applying the product
saw a U.S. Mineral invoice, he or she would already know
whether the product contained asbestos.
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INTERROGATORY NO. 20:
Please identify all former employees of U.S. Mineral, any
predecessor or subsidiary who are receiving or in the past have
received disability or retirement benefits from U.S. Mineral, any
subsidiary or predecessor (or insurers therefor) as a result of
disability due to asbestos exposure.
For each individual so
identified, give the disease for which benefits were awarded and
the date of first payment.
ANSWER:
Objection. This interrogatory seeks information irrelevant to the plaintiff's claim. Without waiving these objections, U.S. Mineral responds that not one of its former employees is receiving disability or retirement benefits from U.S. Mineral as a result of disability due to asbestos exposure. --
INTERROGATORY NO. 21:
What do you contend is the useful life of the following products in a building?
(a) Cafco spray? (b) Cafco Heat Shield; (c) Cafco Blaze Shield; (d) Cafco Sound Shield; (e) Cafco Power Shield; and
(f> ANSWER:
Cafco Blaze Shield Type D
Objection. This interrogatory is ambiguous and vague; it calls for speculation. The term "useful life" is not defined. Moreover, the interrogatory is overly broad and seeks irrelevant information.
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INTERROGATORY NO. 22:
Did you ever advise any architect, contractor or building owner that your asbestos-containing fireproofing products could not be expected to last the entire life of a building in which it was installed? If so, please identify all such persons to whom you communicated this information, the date and substance of the communication.
ANSWER:
Objection. This interrogatory is overly broad, vague and unduly burdensome. Moreover, it seeks information irrelevant to the plaintiff's claim and available to the plaintiff from other sources.
INTERROGATORY NO. 23:
Did you ever advise any architect, contractor or building owner that your asbestos-containing spray applied or trowel-applied ceiling products could not be expected to last the entire life of a building in which it was installed? If so, please identify all such persons to whom you communicated this information, the date and substance of the communication.
ANSWER:
See Interrogatory 22.
INTERROGATORY NO. 24:
Identify the first date, if ever, on which any person advised you that a warning should be placed on a category of products, including your asbestos-containing fireproofing products, and asbestos-containing spray-applied or trowel-applied ceiling products.
ANSWER:
U.S. Mineral was not advised by some other person to place a warning on its asbestos-containing products; U.S. Mineral did so on its own.
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TNTERROGATORV NO. 25:
Please describe what you did with your remaining stocks of asbestos and asbestos-containing fireproofing products or asbestoscontaining ceiling products on July 4, 1973, the effective date of the government ban on the spraying of products containing greater than 1% asbestos.
ANSWER:
Not applicable. U.S. Mineral stopped manufacturing asbestoscontaining products in 1972.
INTERROGATORY NO. 26:
During the time you were selling asbestos-containing acoustical plaster and/or fireproofing products, did you ever inform any architect or other design or.construction professional that they should not rely on the statements contained in your advertising and/or technical literature, but should undertake independently to test your asbestos-containing acoustical plaster and/or fireproofing products to determine the suitability of those products for use in buildings?
ANSWER:
Objection. This interrogatory is overly broad, vague and unduly burdensome. Moreover, it seeks information irrelevant to the plaintiff's claim. Without waiving the objection, U.S. Mineral responds as follows: No.
INTERROGATORY NO. 27:
Please identify all depositions and trial testimony of your past or present employees or officers in asbestos litigation, including asbestos property deunage and personal injury litigation. The identification should include the name of the officer or employee, the date of the testimony, the title of the action in which the testimony was given, the date of such testimony, the name of the court reporting company who transcribed such testimony and whether you have a copy of the transcript in your possession or that of your attorneys.
ANSWER:
Objection.. This interrogatory is overly broad, vague and unduly burdensome. Moreover, it seeks information irrelevant to the plaintiff's claim and available to the plaintiff from other sources.
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INTERROGATORY NO. 28:
Please answer the preceding Interrogatory for litigation involving asbestos or asbestos products, other than asbestos personal injury or property damage litigation. Examples of this type of litigation include, but sure not to be limited to, patent disputes, insurance coverage disputes, import disputes, tariff disputes.
ANSWER:
See objections to Interrogatory No. 27.
INTERROGATORY NO. 29;
Did you supply to the purchasers of your asbestos-containing ceiling products and/or asbestos-containing fireproofing products, any written instructions, including any material safety data sheets, covering the product(s) possible hazards, content, application and/or maintenance? If the answer is yes, please attach copies of all such instructions and set forth in detail:
(a) the verbatim contents of all such instructions; and
(b) whether such instructions were ever'changed, altered or amended at any time and, if so, specifically all changes, the date of each change and the specific reason(s) why such change was made.
ANSWER:
U.S. Mineral incorporates, by reference, its answers to Interrogatory 19.
In addition, for the entire period during which asbestoscontaining CAFCO products were manufactured, the application manual supplied to all contractors licensed to apply U.S. Mineral's products contained rules, advice, warnings, directives, instructions and recommendations on the proper handling and applications of U.S. Mineral's products, including instruction recommending the use of dust masks. U.S. Mineral further instructed its licensed applicators - regarding ways to prevent and to minimize dust inhalation during its training sessions for said licensed applicators. Additionally, in 1968, U.S. Mineral began furnishing its licensed applications with copies of the Sprayed Mineral Fibers Manufacturers Bulletin, which contained instructions on the application of asbestos-containing sprayed mineral fiber products.
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INTERROGATORY NO. 3 0:
Did you ever put into effect a recall of your asbestos product(s) already in the stream of commerce or distribution and/or already in the hands of purchasers and users? If so, please describe such recall efforts in detail*
ANSWER:
Objection. This interrogatory is overly broad and vague.
Moreover, it seeks information irrelevant to the plaintiff's
claim.
Without waiving these objections, U.S. Mineral
responds as follows: No.
INTERROGATORY NO. 31:
Please state whether you or anyone acting on your behalf ever conducted any research, testing or studies of any kind to determine whether asbestos posed any hazard or dangers to the health or safety of those persons who would utilize, inhabit or otherwise occupy buildings or structures in which asbestos products had been applied. (Note: This interrogatory is directed to asbestos in general and is not restricted to acoustical plaster or fireproofing). If.the answer is yes, set forth in detail:
(a) a full description of all research, testing or studies undertaken to determine whether said products were safe for such persons;
(b) the names, present addresses and employment titles of all persons who participated in any such research, tests, or studies;
(c) the results of conclusions reached as a result of such research, tests or studies;
(d) any design changes made in your products as a result of such studies; and
(e) please list and attach all writings and reports of any kind that in any way relate to the conduct of any such research, testing or studies or the results thereof, and identify their location(s), and the name(s) of the person(s) now in possession of such writings.
ANSWER:
Please see the Defendant's Answers to Plaintiff's First Set of Interrogatories, Response to Interrogatory No. 12.
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INTERROGATORY NO. 3 2:
Have you undertaken to investigate the occurrences alleged in plaintiffs' complaint? If so, please state:
(a) the name, address and job title of the person participating in such investigation;
(b) a list of such written records pertaining to such investigation and its location and custodian;
(c) whether statements from any witnesses were obtained; and
(d) if so, please list each witness who has given a statement and the name, address and job title of each person having custody of any such statement.
ANSWER:
Objection. This interrogatory seeks information protected by the work product rule and prepared in anticipation of litigation.
INTERROGATORY NO. 33:
Did bags of Cafco Sound Shield 85 contain any information that it was "non-asbestos"? If so, please give the date of the first shipment of Cafco Sound Shield 85 which contained such information.
ANSWER:
Objection. This interrogatory seeks information irrelevant to plaintiff's claim. Without waiving this objection, U.S. Mineral responds as follows: No.
INTERROGATORY NO. 34:
Please identify all actions brought by building owners alleging property damage caused by asbestos which U.S. Mineral has settled, and for each such case give the name of the plaintiff's attorney and the amount of the settlement.
ANSWER:
Objection. This Interrogatory seeks information irrelevant to the plaintiff's claim. Moreover, it seeks confidential information that is privileged from disclosure. In addition, to the best of U.S. Mineral's knowledge, U.S. Mineral is required not to disclose the amounts of the settlements under the terms of the settlement agreement.
15
INTERROGATORY NO, 35:
Please list all occasions on which defendant, any subsidiary or division have used "comparative risk assessment," such as performed by defendants' expert Dr. Kenny Crump, in order to decide whether to remove asbestos from a facility.
ANSWER:
Objection. This Interrogatory is overly broad and unduly
burdensome.
Moreover, it seeks information which is
irrelevant to the plaintiff's claim. Without waiving these
objections, U.S. Mineral responds as follows: Not applicable.
INTERROGATORY NO. 36:
Please describe all tests performed by this defendant during the time it was selling asbestos-containing products in which asbestos fiber levels were measured during activities simulating any renovation or disturbance of the material itself or in the area of the material.
ANSWER:
U.S. Mineral did not perform any such test during the period that it was manufacturing asbestos-containing products for the specific purpose of measuring asbestos fiber levels.
INTERROGATORY NO. 37:
Please describe all tests performed by this defendant during the time it was selling asbestos-containing products in which asbestos fiber levels were measured during activities simulating demolition of a building containing the material.
ANSWER:
Objection. U.S. Mineral knows of no activity that simulates the demolition of a building and therefore objects to this .interrogatory as ambiguous, vague, misleading and confusing.
16
INTERROGATORY NO. 38: During the period that asbestos-containing products were
manufactured by U.S. Mineral, did U.S. Mineral ever place a warning of any kind on the product packaging itself? ANSWER:
Yes.
INTERROGATORY NO. 39: During the period that asbestos-containing products were
manufactured by U.S. Mineral, did U.S. Mineral ever place a warning in Sweets Catalog entries that the products contained asbestos or that asbestos was hazardous? ANSWER:
The Sweets Catalogue advertisements for asbestos-containing products stated that those products contained asbestos; they did not include a warning about exposure to asbestos.
INTERROGATORY NO. 40: Are you aware of any public health authority, government
official, medical director or industrial hygiene expert who advises that a person can remove one square foot or more of asbestoscontaining fireproofing and/or ceiling material from the beams and/or ceilings of an occupied structure without isolating the work area, disposing of the material in sealed plastic bags and having the work performed by individuals wearing respirators? If so, please identify the person or persons. ANSWER:
Objection. This Interrogatory seeks attorney work product and privileged communications. Moreover, it seeks irrelevant information. The interrogatory is argumentative. It is also ambiguous and vague.
17
INTERROGATORY NO. 41:
Does U.S. Mineral deny that its asbestos-containing product Cafco Blaze Shield is present in the Harris-Millis Halls at the University of Vermont? If U.S. Mineral denies the presence of Cafco Blaze Shield in these facilities, please provide all evidence upon which you base your denial, as well as the names of any witnesses supporting your position.
ANSWER:
Objection. This Interrogatory is overly broad and burdensome. Furthermore, it seeks information prepared in anticipation of litigation. Without waiving said objections, U.S. Mineral states that it presently has insufficient information regarding the buildings allegedly containing its product.
INTERROGATORY NO. 42:
During the period 1954-1971, how much did it cost per bag to print the information that appeared on the packaging for the following products? If the price changed over time, please give the price for each time period:
(a) Cafco Spray; <b> Cafco Heat Shield; (c) Cafco Blaze Shield;
(d) (e) (f) ANSWER:
Cafco Sound Shield; Cafco Power Shield; and Cafco Blaze Shield Type D.
U.S. Mineral does not know this information.
INTERROGATORY NO. 43;
Do you have invoices showing the sales of your asbestos-
containing fireproofing or acoustical plaster products to or for
use in plaintiffs' buildings?
If so, please identify these
invoices.
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ANSWER:
U.S. Mineral's invoices reflecting shipments to the University of Vermont are already in the possession of plaintiff's counsel.
INTERROGATORY NO. 44;
Does this defendant possess a complete record of all the sales of its asbestos-containing fireproofing and/or asbestos-containing ceiling products? If not, please identify all categories (by geographical location, company, product type or time) in which this defendant's sales records are incomplete.
ANSWER:
U.S. Mineral believes its invoices for sales of asbestos-
containing products are complete.
--
INTERROGATORY NO. 45:
Please identify the first date on which Mr. James Verhalen personally became aware of any alleged association between exposure to asbestos, in any amount, and a potential health hazard.
ANSWER:
After numerous years, Mr. Verhalen cannot recall the date on which he first became aware of an association between exposure to asbestos and potential health hazards. However, in the mid-1950's, he was aware that long-term occupational exposures to high concentrations of airborne asbestos could cause pulmonary problems.
INTERROGATORY NO. 46:
Please identify the first date on which Mr. Frank Stumpf personally became aware of any alleged association between exposure to asbestos, in any amount, and a potential health hazard.
ANSWER:
After numerous years, Mr. Stumpf cannot recall the date on which he first became aware of an association between exposure to asbestos and potential health hazards. However, in the mid-1950's, he was aware that long-term occupational exposures to high concentrations of airborne asbestos could cause pulmonary problems.
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VERIFICATION
Paulette A. Kaminski, states that she is Assistant Secretary for U.S. Mineral Products Company; that she is acquainted with the facts set forth in the foregoing Answers to Plaintiffs' Third Set of Interrogatories; that the same are true and correct to the best of her knowledge, information and belief.
. ^Pojkhtts A PAULETTE A.'KAMINSKI
~
Sworn to and subscribed before me, a Notary Public, this /Q day of
:r 1990.
Notary
Public
1AJ *
PAR71CIA M. DOOLEY
NOTARY PUBUC OF/JEW JERSEY My Commission Expires July 28,1993
AS TO OBJECTIONS:
- OlAlhipL
rlAr )
Brett P. Powell
7)
WILSON, POWELL, LANS & P.0. Box 567
192 College Street
Burlington, VT 05402
(802.) 658-4300
(\ FARIS
EXHIBIT "A4*
1. CAFCO Spray (1954-58)
Fireproofing, insulation and accoustical treatment of buildings
2. CAFCO BLAZE-SHIELD (1958-71)
Fireproofing of structural steel and steel floors
3. CAFCO BLAZE-SHIELD Type D (1965-72)
Fireproofing of structural steel and steel floors
4. CAFCO BLAZE-SHIELD Patching Same as CAFCO BLAZE-SHIELD but
Fiber (1954-71)
fiber modified so it can be mixed
with water and hand applied.
5.' CAFCO BLAZE-SHIELD Patching Fiber, Type D (1965-71)
Same as CAFCO BLAZE-SHIELD Type D but modified so it can be mixed with water and hand applied.
6. CAFCO Spray Type 1 (1954-58)
Fireproofing, insulation~and acoustical treatment of buildings
7. CAFCO SOUND-SHIELD
Acoustical absorption
8. CAFCO BLAZE-SHIELD Type H (1969-71)
Same as CAFCO BLAZE-SHIELD Type D; generally used for exposed acoustical areas
9. CAFCO HEAT-SHIELD (1958-71)
Building Insulation
10. CAFCO POWER-SHIELD (1964-71)
High temperature power and process insulation
11-. J Spray (1964-67)
High temperature power and process insulation
12.
COMINCO sometimes called Ace-Tite Cement or All Purpose (pre-1958-71)
Insulating cement used for elbow fittings
13. COMINCO Mono-ply (1963-71)
Insulating cement used for elbow fittings
14. CAFCO HEAT-SHIELD Type 2
Modification of CAFCO HEAT-SHIELD
15. CAFCO BLAZE-SHIELD Type M 16. Mark II (1967-72)
Modification of CAFCO BLAZESHIELD; organic binders added
Coating for application over CAFCO products in areas of extreme velocity and/or abrasion
17. CAFCO WEATHER-SHIELD (1970-72)
Coating for application over CAFCO products to protect against unusual exposure to the elements
O-wMifl'
-
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KODARAS ACOUSTICAL LABORATOR
75-02 5Ur AVNU/IMHURST. NSW YORK 1l373/TttPHON 2U.4i5.1550
REPORT OH SPRAYED MINERAL FIBER
DUSTING TESTS
SUBMITTED TO: Sprayed Mineral Fiber* Manufacturers" Association* Inc. Mr.. Bert Levine - Asbeatospray Corporation Mr. Harry Vileon - Baldwin-Siret-Hill* Inc. Dr. Morris Lief! - Smith & Eanzler Company Mr. Frank Stuapf United States Mineral Products Company
PREPARED BY*. Michael J. Eodaras Kodaraa Acoustical Laboratories Michael J. Xodaraa* Inc. 75-C2 5lt Avenue Elmhurst* Hev York 11373
REPORT NO. EAL-433-1-67
PATEPt July 10, 1%?
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X, ` imODgCTION:
A. series of experiments have been conducted to arrive at a detailed test method that will conform to the requirements out lined in the General Services Administration Interim Guide Specification for;Sprayed Fire Protection consisting of that portion of the specification relating to "Dusting"/ The speci fication is identified by the number 22^-JB (Int) April 1966*
A test apparatus was built and is described in this report* A number of "shake-down" tests were found to be required in order to determine how to eliminate the effect of non-specimen dust, and changes in humidity from the test data, These findings are
i reported, A series of tests were conducted using two samples selected at v random from six prepared for test purposes. The results of -
these tests are also reported,
i II. TEST APPARATUS!
i The following equipment was used to conduct the last two tests: a A - A sealed room 16* x 18* x 13' This room is constructed
.with a sealed concrete floor on grade; 8" dense aggregate con
crete block walls sealed with 3 heavy coats of latex paint; a 6" thick poured concrete roof slab (dense aggregate); a 3" thici
door equipped with double sealing gaskets and a drop seal.
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a a B - Electric motor, centrifugal fan, filters and duct system
as shown on Figure 1 of this report consisting of:
a Electric motor * 7)4 HP, - 1800 rpa
Fan - Class XI; 7500 cfn; 2?00 O.V.; 4" S.P; 1650 rpa; centrifugal fan
a Suctvorlc contains a filter upstream of the test specimen
a hereafter called the "System Filter" and a filter downstream of the test specimen hereafter called the "Collection Filter"
a Biese filters are as follows:
a System Filter - Sigh performance filter with reinforced non. woven treated cotton fabric media having 95# efficiency
a in filtering particles of 5 micron size and larger* The a filter has a mean efficiency of 36*5# on NBS type tests# a Collection Filter and Humidity Control Filter - Bl&cfc nylon
fabric having the following characteristics:
a Thread Comb Per Inch a Varp
Filling
a Calculated Denier
102 82.3
a Varp Filling
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33-3 (30) 31.5 (30)
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The duct system has an opening wherein a sample 16H x -4-8" 0ay be installed in such, a manner that the face of the sample is flush or slightly protruding in relationship with the adjacent walls of the duct* She area of the sample that ia exposed to the airflow inside the duct is 4.07 square feet.
C - Air velocity ia the duct was measured by means_of a standard S blade vane anemometer.
D - The Collection Filter and Humidity Control Filter were weighed before and .atter.-the test sequences by means of a Single Graduate Balance having a capacity of 100 gram in each pan and a sensitivity of 1 milligram.
III. TEST FBOCEDTOE: A. - HOW AIE H7BGS - Before proceeding with the installation of a test specimen, the test room containing the test-apparatus was sealed and the fan of the test apparatus was operated at maximum capacity for a period of at least J hours. During this period only the System Filter was ia place and the recirculation of the air through the system filter provided an air purge that substantially reduced the dust content of the air in the sealed room. The room volume is 3744 cu. ft. At maximum capacity, the fan will move about twice the room volume each minute. The three hour air purge has been determined to be adequate to provide clean air for the test procedure.
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B. - SAMPLE PUKGS CTCLS - The Dust Collection Filter and
the Humidity Control Filter are both vacuumed and weighed and
then inserted in polyethylene bags for transportation to the
a test room* In the test room both filters are installed in a rabhitted wood frames. She Dust Collection Filter is inserted
In the duct system downstream of the test sample opening.
a Hie Humidity Control Filter and its frame is suspended in the test room away from the discharge end of the apparatus but
a exposed to air movement. c The test sample is installed in the test opening. The fan a intake and air by-pass damper located upstream of the System
Filter are adjusted to provide a start-up air flow of less thax
a 800 feet per minute. When the fan is operating normally the air by-pass damper is adjusted to increase the air flow to
a approximately 800 feet per minute. Air flow is measured in a the duct. When the required flow is obtained, the flow velocit
and time are noted.
a After the test sample purge cycle time is completed (usually a six hours), both the Dust Collection Filter and the Humidity
'Control Filter are weighed. The Dust Collection Filter differ*
* in weight is noted. The Humidity Control Filter is shaken to dislodge any loose dust before weighing. Any variation of
a weight in the Humidity Control Filter is attributed to a aC
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change in relative humidity in the test room and is added or deducted from the change in weight of the Dust Collection Filter.
C.-- TEST CTCL2 - The same procedure is followed for the test cycle (usually 24 hours) as is described above for the Sample Purge Cycle*
17. DATA: The data is submitted in net gain in grams per square foot of test sample area exposed'"to the air flow. The tests conducted of the two samples were weighed at 3 hours, 6 hours, 24 hours and 46 hours* The data sheets and a graph shoving dust collec ' versus 'time is included with this report* A copy of the manufacturer's description of the test samples is also enclose
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UNITED STATES MINERAL PRODUCTS COMPANY
Gnrl 0*c* *ru3 STANHOPE, NEW JERSEV 07174
Tl. 347-1200 A*** Cod* 201 C*0<: CAfCOINSUL. N**. Y/*
June 3, 1966
Hr* Alton Evans, fr*oJect Kamger Buber, Bast 4 Slcbols - Frank Briscoe Conpeny, Joist Ventura Cleveland Federal Office Building East 9th and Takerl da Cleveland, Cbio
Dear &* Brans*
Xa reply to the telephone request of JJr* WliUsa Weiner, w are ploaoed to foment on the questions raised concerning the possibility of a health hazard thought by soma persons to result from exposure to the spraying of the mineral fiber now being applied far fireproofing at the Cleveland Federal Office Building*
There has been aome publicity recently with respect to the possible effect* of long exposure to high caivamti-ations of asbestos duet* Althaagfa_the stadlee bare been under way for years, no final report* or findings hare been released* Apparently, the probability of a health hazard exLsta only in those situations where there is exposure to asbestos dost orer long periods, probably aazy years, end In places where there is a high dost concentration and ventilitica is lacking* Bone of these stadias are related sped finally to sprsy mineral fiber products, nor to our CAFCO 2XAZS-oHZZLD ^ppe 1) being used on this job*
Our CAFCO materials are specially treated during processing with dust control agents* Oust coocastrstlea Is further adzxialsed by the introduction of atoaicad-water sprays as tbs fiber loaves the hose* The likelihood of any serious concentration of dost particle* would. he only In the IxnedUt* vicinity of the spray gun* For that reason we caution applicators to wear suitable dost masks, since they may be working under these conditions over extended periods of time*
We doubt seriously that any mm2. basard exists for other workmen os the asae site who are not actually spraying fiber* Vs have no toowledge of any sprayer or workman using CAFCO aeterial or of any person exposed to it ever having been afflicted with a respiratory ailment caused fay our fiber or process* Vo have been informed by the other members of the Sprayed Klneral Fiber l&nafacturers Association, Inc. that, similarly, they have no knowledge of any case of respiratory 1 Times being caused fay the use of their aprpy mineral fiber products*
Of coarse. If a particular workman la unduly sensitive to dust, ha should also wear a suitable protective mask* Such allergic tendencies would be exhibited in the presence of most any dust, such aa fiber spraying, concrete bamsering, plaster drlng, floor sweeping, and the like*
' Ve believe this answers the questions raised, and we will be pleased to furnish such other information a* may be required*
Tours very truly,
CHITED STATES XDZEJUL PRODUCTS CCKP&KT
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John F. OfEorice, Vice President **0 lOv
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