Document mm0bZK2qgdY6QyRpdONNYzdgZ

45. Teta, Mary Jane; Lewinsohn, Hilton C.; Meigs, Wister; Vidone, Romeo; Moward, Linda; and Flannery, John - "Mesothelioma in Connecticut, 1955*1977." Journal of Occupational Medicine, Volume 25 (1983). 46. Weill, Hans; Hughes, Janet and Waggenspack, Carmel - "Influence of Dose and Fiber Type On Respiratory Malignant Risk In Asbestos Cement Manufacturing." American Review of Respiratory Disease, Volume 120 (1979). 47. Wong, Otto - "Chrysotile Asbestos, Mesothelioma and Garage Mechanics." American Journal of Industrial Medicine, Volume 21 (1992). 48. Wong, Ono - "Consideration of Specificity in Assessing the Relationship Between Asbestos and Cancer." American Journal Industrial Medicine, Volume 23 (1992). 49. Wright, W.E.; Sherwin, R.P.; Dickson, Elizabeth A.; Bernstein, L.; Fromm, Janine; and Henderson, B.E. - Malignant Mesothelioma: Incidence, Asbestos Exposure and Reclassification of Histopathology." British Journal Industrial Medicine, Volume 41 (1992). 50. Plato, Nils; Tomling, Goma; Hogstedt, Christer, and Krantz, Staffan - "An Index of Past Asbestos Exposure As Applied To Car and Bus Mechanics." British Occupational Hygiene Society, 1995. GM objects to this interrogatory because it is overly broad, unduly burdensome and is not reasonably calculated to lead to the discovery of admissible evidence. INTERROGATORY NO. 20: Has Defendant or any of its subsidiary or predecessor companies at any time been a member of any trade organization or association that published or disseminated any documents or information relating to the hazards of asbestos comprised of other manufacturers, miners, marketers, and/or sellers of asbestos products? If so, state: - A. The name and address of each such association or organization. B. The dates during which Defendant or any of its subsidiaries or predecessors were members. C. The names and dates of any publications, minutes, or reports published, written, or disseminated by any of the named associations or organizations. D. Whether any of those publications are still in your possession, and if so: DEFENDANT GENERAL MOTORS CORPORATION'S RESPONSES AND OBJECTIONS TO PLAINTIFFS' MASTER INTERROGATORIES AND REQUESTS FOR PRODUCTION--Page 23 30366 05491 UT 178211