Document nkZRNyxdo6x3bK98Ya9DB2VXG
State of Ohio, 1
j SS:
County of Cuyahoga. 2
3 A IN THE COURT OF COMMON PLEAS
5
6 Andrew Antoiosky and Francis Antoiosky, etal.,
7 Plaintiffs,
8 vs.
9 North American Refractories,
10 .et al.,
11 Defendants.
12
) } ) ) )
) ) )
) Case No.1987-1
13 Deposition of George Spahlinger, called by the 14 Plaintiffs for oral examination pursuant to the 15 Pennsylvania Rules of Civil Procedure, taken before 16 Carol Dodrill, Notary Public in and for the State of 17 Ohio, at the offices of North American Refractories, 18 900 Hanna Building, East 14th and Euclid Avenue, 19 Cleveland, Ohio, 44115 on Wednesday, January 27, 20 1988 commencing at 10:00 a.m. 21
22
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EXHIBITS
Mark'd 4
72 100
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PROc-EDINGS
(Plaintiffs' Exhibits 1 and marked for identification.
MR. JENNINGS:
For the record,
is the deposition of Mr. George W. Spahli.nge:
taken pursuant to notice, under the Pennsylvs
Rules of Civil Produce. I would like to ask the Notice of Deposition be marked as Plainti Deposition Exhibit No. 1, and it has been so marked.
Mr. Spahlinger, I'll be asking you a series of questions and, if at any time, any c questions are confusing, or you don't ur.dersta: what I am asking, or they are unclear, please don't hesitate to ask me to clarify what I am asking.
During the deposition, you must say ye: or no, or whatever, in response to the question because the court reporter can't take a r.od or a head shake.
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GEORGE W. SPAHLINGER of lawful age, being first duly sworn, as hereina certified, was examined and testified as follows:
CROSS EXAMINATION BY MR. JENNINGS: Q Mr. Spahlinger, could you please state your
name? A George Walter Spahlinger. Q What is your home address? A 601 Dickerson Road. That's Wiliowick, Ohio q What is your present employer and your citl A My present employer is North American
Refractories. My title is manager of accou representatives. Q If we could, just for a moment trace your employment history with North American Refractories. When did you first become an employee of NARCO? A October 1, 1961. Q. Now, North American Refactories is often re: to as NARCO? A Yes. Q Give us just a rough idea of how long you wc in your differentjobs.
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I was there about seven years. Prior to t: was working in Horizons, Inc., in research development. I was a research associate t: and I worked there about three years.
Now, you're making me think back. don't remember when that was, to be truthfu it. Okay. Before 1961, you were plant superir.t for Viking Steel for about seven years? Right. What kind of a plant was this? It was a warehousing and steel processing pj What type of processing did they do on the s Forming, cutting, slitting, and that type of thing. Was there a lot of furnaces involved in this No. Just fabrication? Fabrication, that's right. Prior to that, you were with Horizons, Inc, research, as a research associate, for approximately five years? That's correct. What was your job at that time? Basically, v
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1 did it involve?
2A
We were doing research with nuclear materials. It
3 was classified at the time. I don't know whether j
4 or not it has been released from classified, to be
5 honest with you.
6 Q What is your educational background?
7 A I had three years of college. I did not graduate.
8 I took supplementary courses in export sales and
9 marketing, took several of those.
10 Q When did you get out of college?
1) A That's a good question. 19 -- let's see. I got
12 married in 1948, so it was probably about 1950.
13 Q Okay. So, if you got out of college in 1950, that l
j14 was about 11 years before you started with NARCO,
15 and about 10 of those years would have beer, taker,
16 up with Viking Steel and Horizons?
17 A That's correct.
18 Q Have you had any other employment for more than,
19 say, six months?
20 A Oh, yes. I worked for Republic Steel while I was
21 going to school.
22 Q What did you do with them?
23 A I was in their combustion engineering department
24 at that time. That was -- I don't know whether or
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1 not you are familiar with that type of engineering
2 department, but different steel mills have
i 3 different ways. But, it was primarily inspection |
4 of brick work and that type of thing, and also, we
5 monitored the fuel usages and temperatures of
6 different furnaces, and that type of thing. 7 Q How long did you do that for Republic Steel,
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8 approximately?
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9 A Approximately three years. Might have been a
10 little longer.
11 Q Was this full time, or off ar.d on?
12 A No, X was full time.
13 Q Did you have any specialized training of any kind
14 for that, or was it just on-the-job?
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15' A On-the-job.
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16 Q These are the gauges that you have to gomeasure j
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and record periodically, and you did that? .
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13 A And some repair work.
19 Q What kind of repair work?
20 A On the gauges and the regulators.
21 Q Were you an hourly employee at thattime? 22 A Yes.
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23 Q And what plant was this?
24 A That was right down -- Corrigan-McKinney works.
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ccmputer-a.ced t8*ns:sist'cn av xs:aise
It is now called LTV, I believe.
Q
That was in the Cleveland
area?
A Ves.
Q Was your job class as ahourly employee at
Republic Steel?
A I have no idea what you mean by that. I have no
idea what the job class would be.
Q Did you have a particular title? Was it
mechanical maintenance, or gauge repairman, or
what would your title have been?
A I really don't recall.
Q Okay. Have you had any contact with the steel
industry, in an employment setting, before that
job with Republic Steel?
A No.
Q Okay. So, other than your work with Republic
Steel, Horizons, and Viking Steel, have you had
any other contact with the steel industry in any
way, or refractories in any way, before begirnin
with NARCO?
A NO.
Q Now, in 1961, you startedwith NARCO?
A That's correct.
Q If you could just walk through, briefly, the
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various positions you had with NARCO, and I'll as you a few questions about each of those. A Well, I started as a sales correspondent and move up to senior sales correspondent, and then I moved into this position. Q Okay. So, your first position was as a sales correspondent? A That's correct. Q For how long did you hold that job? A I really don't know. I would have to estimate, estimate about four to five years. Q And what were your job responsibilities? A Job responsibilities was that we just handled the -- contacted various accounts. It was set up on the geographical sales territory type thing. And, we would be responsible for receiving quotations and inquiries from the field and from customers, and prepare the quotations, and see that the orders were entered properly, entered them and checked them out, and handled general correspondence with customers. Q Did your sales correspondent job require you to travel a lot, or did you stay in the central office?
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No, we were centrally located.
So, if I understand it , you would have had a
region of the country that would be your
responsibility, and you would take care of --
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handle all of the paperwork and make sure
everything went routinely from the headquarters
standpoint. A That's correct.
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Q Were you located in Cleveland the whole time?
A In Cleveland.
Q What area of the country were you responsible for
as a sales correspondent? A At that time, we rotated it, so that, actually,
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over the length of those years, I actually handled i
the entire country.
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Q Okay. During any period of that time, the four or j
five years you were sales correspondent, were you j
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responsible for the Johnstown, Pennsylvania, area?
A Only in a backup capacity.
Q Okay.
A And that was related to a specific customer.
There were certain major customer that were
handled by selected individuals.
Q Okay. During that four to five year period as a
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sales correspondent, were you responsible for any substantial period of tine for the Manor.gahela Valley area; you know, the Manor.gahela Valley
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steel mills of different companies?
MR. HEINTZMAN:
I object to the form
as what you mean by "substantial".
During this four to five year period, were you
ever assigned the area of Pittsburgh and its
surrounding counties for the different steel mills
there, that may have been customers of NARCO?
Yes.
Now, after that, you became a senior sales
correspondent. How long were you a senior sales |
correspondent?
For most of my career. Let's see; four or five years, and I believe here, I had this job I think
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about, I would say about 15 years.
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What were your responsibilities, as a senior sales |
correspondent?
Essentially, the same as a sales correspondent,
with a little more responsibilities that's added
to it as far as, I was assigned a specific major
account. I also developed the export business for
NARCO, as well, during that period of time.
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I Q Who was your specific major account?
2 A Armco, Inc.
3Q
And would that have been all Armco plants?
i A All Armco plants.
5 Q Did you have any other specific major accounts fo
6 any particular period of time, during that Job as
7 a senior sales correspondent?
8 A Yeah; Republic Steel.
9 Q Would that be it?
10 A Yes.
11 Q Then, I believe you indicated about seven years 12 ago, you became the manager of accounts?
13 A Right, account representative.
U Q What did that job involve?
15 A Well, I was directly involved with helping to
16 establish the computerized order entry system tha
17 we are now on. I am also involved with the
18 pricing of all products and supervision of the
19 department.
2a Q
What is the department that you're supervising?
21 A It's the internal sales department.
22 Q Okay. Your position as manager of account
23 representatives; is that still considered sales,
24 or do you hold several hats in terms of the
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organizational charge of the company? I'm not sure what you mean by several hats.
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I don't understand whether you're still considered i
primarily working in the sales department or
whether you have, say, for example, accounts
payables responsibilities, or automatic data
processing responsibilities, or how you fit into this system.
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It's primarily sales, but I do have some
accountability as far as maintaining and
establishing some of the -- at that time,
processing marketing functions.
Okay. Would it be fair to say that the bulk of your career with NARCO, since 1961, has been
primarily in the sales accounts of the
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Corporation?
That's correct. Okay. If we could take a moment or two and
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basically trace the history of NARCO, so I'll
understand any major corporate changes that it may
have undergone, it's my understanding that NARCO
was originally formed in '29, as a separate
organization?
I am not sure whether it was that year or not, but
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that's correct. It was in the late '20's that NARCO cane into
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3 existence? 4 A That's right.
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5 Q Has NARCO operated as a separate corporation the
6 entire time since it was formed?
7 A No.
3 Q So, there were various times when it may have been
9 operated as a division of somebody else?
10 A That's correct.
11 Q 12
It's my understanding that in 1965, approximately, NARCO was acquired by a corporation named Eltra
13 Corporation; E-l-t-r-a?
14 A That's correct.
15 Q Did NARCO operate as a separate corporation from
16 the late 1920's, all the way until that 1965?
17
MR.. HEINTZMAN:
I object to the form, j
13
What do you mean, "operate as a separate
19 corporation"? Do you mean, was it owned by
20 somebody else?
21
MR. JENNINGS;
No, I am asking from j
j22 the late 1920's up until the purchase by Eltra
23 Corporation, did NARCO operate as a corporation I
24 under the name NARCO, or was it operating at some
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point in time before 1965, as a business or
partnership or structureship of some other
company?
A No.
Q So, NARCO was a corporation? Somebody owned its
stock, but it operated as a corporation from the late 1920's up until 1965?
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A Ves, a privately held corporation. Q Okay. Now, after 1965, did Eltra Corporation
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merge NARCO into Eltra? Or, did Eltra continue to !
operate NARCO as a corporation, and Eltra only owned the stock?
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MR. HEINTZMAN:
I am going to object.
This is not the.right witness to ask these
questions of. It gets into legal conclusions that
he has to make about what was being done.
I believe your interrogatories ask us to
give a corporate history, which we will do, but I
don't think it is proper to ask this witness these
kinds of things.
MR. JENNINGS:
Anything he can't
answer, he can say he can't answer. But, since
you haven't answered the interrogatories, I have a
right to find out as much as I can regarding the
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corporate structure. If he doesn't know, he can say he doesn't know. But, he was an employee, and, as an employee at that time, he can say
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whether it was a sole proprietorship or a
proprietorship, or whether the name changed, or
things like that,
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I am not going into the mechanics of
subtle reorganization of the Corporation. I just
want to. know the basics.
A Eltra allowed us to use and operate under our
North American Refractories name.
MR. KEINTZMAN:
Don't assume. I
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don't want you to guess about what was going on at '
that level. We are going to provide the
information. I think you're entitled to the information. Whether or not you're entitled to
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get it from this gentlemen, that was not involved
in the intricacies of all of that. I am going to
object to this whole line of questioning, .
MR. JENNINGS:
Okay.
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Q After '65, you continued to operate under the name
NARCO, North American Refractories Corporation?
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t
A Yes.
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Q Doyou know whether it becamea part of Eltra, or j
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1 was operating as a subsidiary of Eltra?
2
MR. HEIN7ZMAN:
I am going to object.
3 Q You don't know whether it was a division or a
4 subsidiary?
5 A No.
6 Q At any time in your career, have you had an
7 employee stock ownership program, where you would
3 get stock as a benefit, either pension or some
9 other means, by where you could buy the stock of
10 the Corporation.
II A There was an Esop Plan, I think they called it. 12 We were allowed to participate in that.
13 Q When did that come into being, approximately?
14
A
I would say approximately
'80.
15 Q Was the stock that was being purchased out of 16 NARCO, or out of Eltra. 17 A I really don't know, to tell you the truth. I 18 think it was Eltra.
19 Q Just so I'm clear, you don't know whether NARCO 20 was ever operated as a division of Eltra or not?
21 A I can't say for certain.
22 Q Now, were there any other major changes in
23 ownership of NARCO before the merger in 1979 with
24 Eltra.
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MR. HEIN7ZMAN:
I am going to
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object. You called that merger. I'm not sure
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that that's right. I am objecting to the premise
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that Is in the question, I guess.
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I Q Were there any changes in the ownership of NARCO, !
to your knowledge, between '69 and 1971?
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In 1979, NARCO merged into the Allied Chemical
Corporation?
MR. HEINZMAN:
This witness cannot
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give a legal opinion as to whether that was a
merger or a purchase. I am going to instruct him
not to answer that question. He is not qualified
to give that kind of a legal conclusion to you.
MR. JENNINGS:
You can certainly
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instruct him not to answer at any time, but I want !
to put you on notice that that's not the way the
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Pennsylvania. Rules of Civil Procedure operate, You can object all you want.
and j
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If you instruct him not to answer, I am
preserving the option to get costs and come back
here and take his deposition or somebody else's.
The rules say that the witness answers all
questions, and I can show you the particular rule, j I
if you want to look at it, if you are totally
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] unfamiliar with it. But, I assume, you do know
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2 the rules. So, if you instruct him not to answer, j j
3 you do it at your peril.
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MR. HEINTZMAN:
I do know the rules,
5 and we will give you the complete history, and I
6 am not going to have him form legal conclusions on I
7 that.
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8Q
Just so you understand, Mr. Spahlinger, the only
9 reason we are doing that is because my client has
10 not given me that, to date, and you're here today, |
II so I am going to persist until I get answers and j i
12 the record is clear that he is willing to provide j
13 the information. 14 A All right.
15 Q 16 17
Do you understand that, around 1979, Eltra was acquired by some means by the Allied Chemical Corporation..
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18 A Yes.
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19 Q At that '79 acquisition, whatever thelegalform |
20 which it took, did NARCO continue to operate under
21 the name, NARCO? 22 A Yes.
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23 Q Was there any change in the ownership ofNARCO, to j
24 your knowledge, between 1979 and 1986?
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1 A No.
2Q
Now, it's my understanding that in January and
3 February of `86, NARCO was sold to some other
4 company or entity.
5 A Well, yes.
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i6 Q
Who acquired NARCO in January or February of 1986?
7A
It was a leverage by out by our executives and by
e a consortium. It was Curtland Capital and Keller
9 Financing.
10 Q Was there any change in the name of NARCO after
n this leverage by out in 1986?
12 A No.
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13 Q So, from 1986 to thepresent, you have continued
14
to operate under the name. North American
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15 Refractories Corporation? 16 A That's correct. 1/ Q Do you know if there were anyreincorporations
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18 or -- we will just leave it at that -- whether
19 NARCO went through any reincorporations because of
20 any of these corporate transfers we talked about
21 since 1960?
22 A I am not sure what you mean by "reincorporatior.."
23 Q Okay. Do you know if NARCO is being operated now
24 as a corporation or a division of some other
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company?
A It's a corporation.
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Q Do you know if NARCO was ever operated as a
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division of anybody else?
MR. HEINTZMAN:
Objection. You
can answer, but I am going to object. The
question was raised.
A I am not sure what you mean. Over any particular
period of time? I thought we went through all of
that.
Q Well, it's not clear to me. I think, at one
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point, you may have indicated there were some time
periods in which NARCO was operated as a division
of some other corporation, and whether or not --
what time period or what that time period was, that it was a division as opposed to a -
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MR., HEINTZMAN:
I am going to object I
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at this point. The problem is, what you're asking j
this witness to give you is a distinction between
the legal meaning of subdivision, division, or
subsidiary and division. And what your understanding is, and what is in his mind; it
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might be -- we will give you the corporate history, but I am not going to have this witness
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give you legal opinions as to what the status was
at any particular point in tine. I'll instruct
him not to answer.
MR. JENNINGS:
Just for the record,
you may think he is confused, but when the
gentlemen starts talking about leverage by outs
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and gives me names of finance companies and who's involved in it, he is a very sophisticated
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individual. You may be confused. But, if he
doesn't understand the question, he may say so. I have a right to know what in the world
your corporate structure is, and you have beer.
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refusing to answer that question up until this
time. And, I want the record clear, that if I am
prejudiced one iota by refusing to give me that
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information, all options are reserved, and the
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witness says-he doesn't understand what a division !
is or a subsidiary.
Do you understand what a -division is of a company?
MR. KEINTZMAN
I am going to object.
I My objection is on the record. You're asking this j
witness for legal conclusions. I said you're r.ct j I
going to be prejudiced, because we intend to give ! |
you the .full corporate history. I am not going to |
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argue all morning on this. You will get the history, but I am not going to have this witness
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go through this.
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Q Do you understand what a subsidiary is; namely a
company whose stock is owned by some other entity?
MR. HEINTZMAN:
I object and instruct
the witness not to answer.
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Q Do you understand what a division is? Maintenance
has a portion, a division, not --
MR. HEINTZMAN:
I object and instruct
the witness not to answer.
Q Do you know if NARCO was ever operated as a division of some other corporation?
MR. HEINTZMAN:
Objection. Instruct
the witness not to answer.
MR. JENNINGS:
Again, just for the j
record, I protest. This is contrary to the rules,
and I intend to seek the proper motions and the
proper costs, and, secondly, because I have a
right to what we have gone through here today.
Q Okay, Mr. Spahlinger, let's try a new subject. Do you hold any stock in NARCO?
A No.
Q Do you own any stock, as part an employee benefit
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program? No.
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Have you ever, in your career, received stock as
part of a benefit?
Yes. And whose stock did Allied.
you receive.
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And when did that first begin? Was this at 1979? j
Yes .
Okay. Beginning with your career in '61, describe
for me, in general terms, how the sales operation
of NARCO was organized.
Sales. Well, it still is separated. On the
outside field it is constructed of segments; the
outside sales force and the inside sales force.
The outside sales force is broken up, and
it continued that way until just recently. It
still retains that type of structure, with some
modifications, whe^e we have a diversification
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program that is currently in place to try and
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extend that or improve our position in the
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industrial market. So, we have some marketing cut!
there that crosses geographic territorial lines. The inside sales department was
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constructed, generally, of the sales force.
ii Mow.
they are called account representatives. It
started out as sales correspondent, senior sales
correspondent, and the managers of sales
correspondents; and now it is account
representatives, senior and junior account representatives, senior account representatives,
I
and the manager of account representatives, and
then sales administration.
Q What was the jurisdiction of the inside sales
force, as compared to the outside sales force?
A The outside sales force was primarily responsible
for the direct contact with the customers and the I
mills and the users of our products.
The inside sales force was generally
responsible for the internal workings of the sales
marketing organization within MARCO, primarily.
Accounting liasor. would have been the outside
sales force, and the outside customers, and our
particular plants and major companies.
Q So. if I understand it, the outside sales force,
is the one that would have most day-to-day,
on-site contact with customers?
A That's correct.
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601 ftOCKWEU. AVS. a SUITS SOS a CUVEIANQ OHO 44M (216)6^6*2272
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1 Q And, the inside salesforce wouldmake sure that ;
f
2
things went routinely between the plant and the
i
3 outside sales force? 4 A That's correct, and alsothe customers.
i
5 Q Now, was this basically the organization from the
6 early '70's forward. A Yes.
7
|
8 Q Was this also the organization of the sales force
9 before '70?
10 A To the best of my knowledge, yes.
11 Q Focusing, for a moment, on the outside sales
i
12 force, how many geographical regions or areas were
13 set up over time?
1
14
MR. HEINTZMAN:
Do you mean how many !
15 exist today, or how many have existed?
!
16 Q Well, what was the setup over that time? Are we
i
17
talking about five regions in the country, or
j
1
18 four? 19 A Approximately, it would range between eight to
! i l
20 nine. I think it's up a little higher than that
21 now.
22 Q What was the name of the region that would have
23 encompassed the western half of Pennsylvania?
24 A Pittsburgh territory.
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601 ROCKWELL AVE. SUITS 505 CLEVELAND OHO <UTU (216) 696*2272
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1 Q And, how big of an area was encompassed by the
2 Pittsburgh territory?
3 A Well, really, it was kind of small compared to
4 rest, but it would, essentially, be the western
5 end of Pennsylvania.
6 Q Would Johnstown, Pennsylvania, come within the
7 Pittsburgh territory?
8 A Yes.
9 Q Would all the steel facilities in the Pittsburg
10 Butler, Washington, Pennsylvania, area be
11 encompassed within the Pittsburgh territory; an
12 what territory encompassed the state of West
13 Virginia?
14> A
State of West Virginia would be handled by the
15 Cincinnati sales office. 16 Q What was the name of the territory that would h
17 encompassed .the State of West Virginia?
18 A Cincinnati, too.
19 Q What area encompassed eastern Ohio?
20 A Eastern Ohio, would be split between -- well,
21 truthfully, we split Ohio north and south,
22 actually, and that would have been either
23 Cincinnati in the South and Cleveland in the
24 North.
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Q Which territory had Steubenville? A Steubenville would have beer., actually, Cleveland. Q Mr. Spahlinger, how was the Pittsburgh territory
set up, in terms of organization within that territory? A This was an inside sales manager, and he would have outside salesmen reporting to him. Q Okay. Who were the district sales managers within the Pittsburgh territory since you; I mean with NARCO. A When I started with North American Refractories, it was a gentlemen by the name of Jim Anmerman, A-m-m-e-r-m-a-n; and following him, this was a gentlemen by the name of Tom Doty. Q How would that be spelled? A D-o-t-y. And, the current sales manager is Mr. Wilson. Q And, during what basic time period was Mr. Ammerman the basic sales manager? A I know he was a longtime employee of NARCO, when he became district sales manager. He was in that position when X started, and he retired. I'm not sure when he retired, but he was the man in that position the longest that I know of, until more
riNCUN-MANCINI
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1 recently, it became Wilson.
il j
2
Q
Did Mr. Ammermar. retire more than 10 years ago?
i
I
3 A Yes, I would think. Yes, it should be just about
4 that time.
5 Q Did he retire in the Pittsburgh area?
6 A Yes.
7 Q And, do you know what town or what area?
j
8 A No, I don't.
9 Q Do you know if he is still alive?
10 A No, I don't. 11 Q How long did Tom Doty holda the position of 12 distict sales manager?
I
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13 A A very short time, only a couple of years. 14 Q And where is he today? Do you know whether or r.ct
15 he is still with NARCO? 16 A No.
, f
!
j17 Q When did Mr.. Wilson became district sales manager? j
18
A
X would say five years ago. We had a gentlemen
j
19
who was acting district sales manager in the
j
20 interim.
j
21 Q And what was his name? 22 A Joe Metzer.
| i
23 Q M-e-s-s-e-r? 24 A M-e-t-z-e-r..
j
j
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601ROCKWEU. AVS. SUITS 505 CLEVELAND OHO 4404 (216)696-2272
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i
1 Q How long was he acting district sales manager?
2A
About a year or two years.
3 Q That would be just before 1982? And, Mr. Wilson 4 has been district sales manager from 1982 until
5 the present?
6A
That's correct.
'\iVT-o.-
r I'-'-
7 Q And approximately how many sales managers would 8 the Pittsburgh area have had?
9 A At one- time?
10 Q Well, if it varied over time periods, let me know
n that.
12 A
X would say it varied between two to four people.
13 Q Those two to four outside salesmen within the
Pittsburgh territory were responsible for all the ! u
i
15 people within that territory?
j
16 A And the district salespeople, as well.
j
i
17 Q Was it set up so that the sales manager would have
18 been responsible for certain accounts?
19 A Yes.
20 Q How did that happen? Was it always the biggest 21 accounts or the most important, or what decided
22 what the district sales manager got?
23 A That's a good question. Normally, the district 24 sales manager assumed the responsibility for those
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601 ROCKWELL AVE. SUITE 505 CLEVELAND OO A4IU (216)696-2272
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accounts he was most familiar with and felt that he could deal with more properly. And. he would
j 1
then establish which salesmen would call or.
;
whichever other territories. He would assign
those, primarily.
Q So, the district sales manager would have had the
opportunity to choose certain accounts for himself j
or herself, and the other accounts would be
assigned to the various outside salespeople?
A Correct.
Q Who were the outside salesmen in the Pittsburgh
territory since you began with NARCO?
A That's a lot of them. Dick Wilson was one.Steve
Metzer, of course, Tom Doty. I really don't
!
remember the other names. Q Okay. Is Mr. Wilson, Dick Wilson, the same as
j
R.E. Wilson? A Yes. Q So, that's Richard? A That's right. Q Is Mr. Wilson still located in thePittsburgh
area. A Yes. Q Where is NARCO'S Pittsburgh officelocated?
FINCUN-MANCINI
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!
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--------------------------------- 601 rKXKWRL AVE. SUITS 505 CtEVcLANQ OHO 44IU ---------- ------------------------------- '
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A We've moved. Unfortunately. I am not sure of the 1i
address. I car. get it.
Q Well, it's in the Pittsburgh area?
'
A Yes. Q Where is Steve Metzer working? A In the Pittsburgh Office.
j
! j
Q Is he one of the salespeople now? A He is really a product manager now. He works
!
f
primarily with aluminum companies.
Q How long has Mr. Metzer been associated with the
Pittsburgh office, in one form or another?
A It's got to be 12 to 15 years.
Q How long was Mr. Tom Doty associated with the
Pittsburgh territory in sales?
A I would say it was about four years, at the most.
i
Q Was there any sort.of regular turnover of
j
salespeople -in particular territories; like, did
i !t
the company ever have a policy of changing things
. every couple of years, or could a salesperson go
into a territory and stay there for, IS or 20
years?
`|
A A salesperson could go there and stay there for 15 j
or 20 years.
There is no regular position so as
i j <
far as rotation is concerned.
FINCUN'MANCINI
The Co<Jt Reoorren
601 ROCKWai AVS. SUITS 505 CLSV&ANQ OHO (216)696-2272
Do you know which of the Pittsburgh territory salespeople had responsibility for Johnstown, at some point this year? No, I can't say which one. Do you know whether any of the gentlemen that you mentioned ever had any specific responsibilities for Bethlehem Steel, in Johnstown. Jim Ammerman I know did. Okay. Are there any others that you can recall having responsibility for Bethlehem Steel, Johnstown. Dick Wilson. Is there anyone that you know of in NARCO that was close to Mr. Ammerman, on a personal level, that would know where he is today, if we can't find him in a phone book or whatever? I can't think of anyone who's still with NARCO who j was close to Jim. There were a lot of people who knew him, but whether they were really close to him or not, on a friendly basis -- I mean, to the point of exchanging Christmas presents and things like that. Only retirees like Bob Moffett. He was close. They would exchange Christmas cards. Where is Mr. Moffett today?
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601ROCXWSU. AV. SUITE 505 CLEVELAND OHO 44M (216)696-2272
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A He resides close to Clearfield, Pennsylvania.
i
Q Okay. If you-could, quickly tell me who the
;
district sales managers would have been for the
1
Cincinnati territory.
A Yes, there was a man who's currently there; D.E.
Sheuumon. Prior to him, M.A. Rafferty.
Q R-a-f-f-e-r --
j
A R-a-f-f-e-r-t-y. Prior to him -- let's see -- he |
is no longer with us, and I can't remember his
name now. Prior to him was Vern Girard.
Q G-- A G-i-r-a-r-d. He is diseased. Q How long was Mr. D.E. Sheuuman sales manager?
i
j
I
A I would say about five years.
Q Was he in sales in the Cincinnati territory before
i
that?
i
A For a short period.
i ;
Q And what was the time period that Mr.Rafferty was , ii
a salesman?
Ii
A Sam Rafferty was there for close to ten years.
j
Q Was he in sales, before he becamedistrict
manager? A Yes.
|
Q In the Cincinnati territory?
! i
i
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--------------------------------- 601ROCKWSU. AVS. SUITS 505 ClVSlANO OHO 44TU ------------------------------------------ ' (2T6)6?6-2272
And, where is Mr. Rafferty today? He's in our western district -- I'm not sure wh his title is -- the manager or salesman, I believe. Was that in Cleveland? No, west coast. And, he is stillwith NARCO? Yes. I am saying -- I am trying to think the man's name now. I should know it, because I kn it well. And, I just can't think of it. I can think of his name. How long was he district sales manager. I would say about four or five years. He's no longer with NARCO, and I don't know where he we How long ago did he leave NARCO? Had to be closed to -- had to be close to 15 years. Okay. And Mr. Girard, who's deceased, to your knowledge, what time period would he have been district sales manager? Ke was the sales manager when I first came on there. He had been there a number of years. I don't know how long he was district sales manag
FINCUN-MANCINI
TheCout Reoorfem
6C! ROCXVvai Avs. a sure 505 CLSVSiANQ CHO A4W (2k) 496-2272
C3MuTa-AiOEO tsanscsisti-n iv xscsise
1 there. 2 Q When did he stop being district sales manager? 3 A When he retired. And, you will askme,when he 4 retired, and I really don't remember that. 5 Q Was it less than ten years after you started, or 6 more than ten years? 7 A No, it was less than ten years. 8 Q So, sometime before 1970. 9 A Ves. 10 Q Are there particular salespeople that work in the n Cincinnati territory that you can recall, other 12 than these gentlemen?
n A Just one other one. Well, there is one Neal
14 DeLong. D-e-L-o-n-g. Ke is no longer with NARCO 15 He started at the same time I started. That's wh 16 I can remember. And Kevin R. Khal, who's a 17 salesman in that territory. 18 Q K-e-v-i-n? 19 A R. K-h-a-1. And Jody A. Persino was also -- 20 P-e-r-s-i-n-o. 21 Q How long has Mr. Khal been in sales in the 22 Cincinnati territory? 23 A I would say about five years. 24 Q And for how long has Mr. Persino been in sales in
FINCUN-MANCINI
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601 ROCKWELL AVE. SUITS 505 CLEVELAND OhC 44TM (216) 696*2272
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the Cincinnati territory? I would say about four or five years. Also, do you know if there are particular people in the Cleveland office that had responsibility for Steubenville, Ohio. Yeah, but the individual that had responsibility for Steubenville would be the -- in the past it was Don Behner. I care more about the past than I do about the present. He was the past one. At what time would Mr. Behner have had Steubenville? He had it at the time I joined the company, and probably up until about 1979 or '80, through there. Where is Mr.. Behner now? He left the concern. Now, he was working for his brother, and I really don't remember the name of that company. Where was he living? In Cleveland, local area. I'm not sure which area. Do you know if he is still in the Cleveland area?
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601 ROCKWELL AVS. SUITE 505 CLEVELAND OHO 4AH4 (216) 6?6*2272
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i
1 A I believe he is.
2 Q Who would have had Steubenville in 1980 or so?
3 A I really don't remember.
4 Q And, you said that there's someone who has taken
5 over Steubenville more recently?
6A
I don't remember where Steubenville is. I'm not
7 sure. X believe we had a change in territory
8 right in that general area, and I don't know if
9 that's located now in the Pittsburgh or Cleveland
!0 area. Still, I imagine -- I don't know if anybody
11 was going down there now. If I had to take a shot 12 at it, it would either be Sam Baker -- it had to
13 be Sam Baker. I don't think Chuck Murphey would
H go.
15 Q Okay. Is Mr. Baker still with the Company?
16 A Yes.
17 Q Out of the Cleveland office?
18 A Yes.
19 Q Is he an outside salesperson?
20 A Yes.
21 Q Okay. Thank you very much. Let's take a moment,
22 and could you explain to me how the inside sales
23 force is organized, structurally. 24 A Now?
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601 ROCKWELL AV6. SUITS 505 CLEVELAND OHO &&TA (216)696-2272
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4
1 Q Well now, and in the past.
j
2 A Well, in the past, as I said, it was set up so
|
(
3 that certain individuals would have major accounts
4 and for the nonmajor accounts with a geographical
5 sales territory basis, so that the
6 responsibilities were handling one particular
7 sales territory, or one or more would be assigned j
8 to different people.
j
9 Right now, we restructured it so we have
10 a steel group and an industrial group, and we have
11 specific accounts assigned to different 12 individuals. 13 Q When did the restructuring take place. 14 A About two years ago.
I
IS Q Okay. Well, my questions from here on out will t
16 not be focusing on after 1986. I am questioning
17 on the way things functioned in the inside sales
18 department before the restructuring.
\ 19 What were the titles ofthepeople within ;
20 the inside sales force that wouldhave 21 responsibility for sales areas? 22 A Sales correspondent and senior sales
| ] I
23 correspondent.
'
l 24 Q And, then, there was a manager that headed up the
i
l
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The CoLrf Reporter ---------------------601 rockwsu. Ave. suite sos cisvsianq oho 44114 ------------------------------ ;
(216)696-2272
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department?
;
2A
Yes.
3 Q Let's identify the managers, first.
4 A Well, when! joined thecompany, it was Otto
j
5 Stetzel, S-t-e-t-z-e-1 and G.A. Miller, 6 M-i-l-l-e-r. and, then, it was R. A. Lund. 7 Q* L-u-r.-d? 8 A L-u-n-d.
! J
9 Q J.V. Mackin, and then I.
10 Q How is Mr. Hackin's --
11 A M-a-c-k-i-n. 12 Q And then yours?
|
i
j
13 A That's correct.
!
14 Q And, to your knowledge, whattime period were you |
i
15 the manager of the inside sales?
16 A Within the last six years.
j
j
17 Q That's about. 1980?
j
18 A Yes.
19 Q Is Mr. Stetzel still alive? 20 A No.
21 Q What time period did he stop as the manager of 22 inside sales?
23 A I would say he was manager for the first ten years 24 of my career. And George Miller was also -- he
) FINCUN-MANCINI
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601 ROCKWELL AV5. SUITE 505 CLEVELAND OHO 4404 (216)696-222
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1 was at the same period of time, but he also had 2 he was a little younger, so he remained in office 3 a little longer. I would say ten years. 4 Q So, Mr. Miller would have been gone up until the 5 mid 1970's? 6 A Yes. 7 Q And where is he today? 8 A He's retired. He livesin -- I believe 9 Willoughby, Ohio. 10 Q What was Mr.Miller's first name? II A George. 12 Q And, to your knowledge, what time period was Mr. 13 Lund the manager? 14 A After Mr. Miller retired, Mr. Lund was made the IS manager. 16 Q so, he would have been the manager from the mid 17 1970's up until the early 1980's? 18 A Correct. 19 Q And where is he today? 20 A ' He's still with us, and he's the manager of the 21 technical services. 22 Q And he's in Cleveland? 23 A Yes. 24 Q What's his first name?
FINCUN-MANCINI
The Court Reporters
601 ROCKWELL AVE. SLUTS 505 CLSVElANQ OHO 44T14 (216)696-2272
CC**oU'9-aiCE0 *9*ns:s'' ;n gv xscs ac
I A Randy, R-a-n-d-y.
;
2
Q
And, Mr. Mackin would have come on the scene in
i
3 the early '80's?
:
i A Yes.
5 Q And where is he?
6 A He's still with us. He's sales administration
!
i
7 manager.
i
8 Q And what is his first name?
I j
9 A Joe; Joseph.
10 Q Now, how many sales correspondents and senior
J11 sales correspondents would there have been within
12 inside sales at any point in time?
[
j
13 A When I joined, I think I was either the sixth or ;
14
the seventh person there. And, at that time, I
*
15 don't think we had a senior sales correspondent
16 position, so it was justplainsales 17 correspondents.
j
i
\
i
18
And, then, acouple ofyears after I
!
19 started in, they instituted the senior sales
20 correspondents, and a couple of men were promoted
21 to senior sales correspondent although more people
were added to it. Right now, we have a total of ! 22
23 thirteen people. 24 Q So, the number of inside salespeople would range
FINCUN-MANCINI
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601 ROCKWELL AVE. SUITE 505 CLEVELAND OHO 44114 (216)696-2272
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from five to seven, to as many as thirteen? Ten to thirteen, in recent years. A few years back, it would be close to seven to nine people, tops. You mean -- could you identify who those inside salespeople would be, other than yourself and the gentlemen that you've already mentioned that were managers? Mr. Miller and Mr. Stetzel did have responsibilities, but they were the only of the managers that really had those responsibilities. Joe Mackin also started as a correspondent -- I apologize for that -- there's Bill Eckhardt; E-c-k-h-a-r-d-t, Tony Reed, R-e-e-d; do you want all of them? Yes, please. There is Jerry Paine, P-a-i-n-e. X.C. Russell. R-u-s-s-e-1-1. There's T. Wayne Vellamori, V-e-l-l-a-m-o-r-i. There's Kris Tesic, T-e-s-i-c. M.C7 Breudigam. And Randy, R-a-n-d-y, C. Ferline. There's D.W. L-a-u-t-e-r-b-a-c-h. There was C.R. Hoffman, H-o-f-f-m-a-n. There's E.J. Viancourt. There's M.A. Costa, C-o-s-t-a. There's, M.F. McKinney. There's M.S. Derrick, D-e-r-r-i-c-k,
The Coot Reporters
601 ROCKWELL AVe SUIT; 505 CLEVELAND 00 (216)6R6-2272
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45
1
T.N. Stephanie,S-t-e-p-h-a-.n-i-c, M.A. Newman,
;
[ 2 N-e-w-m-a-n. That's about all I can remember,
3 right offhand.
j
4Q
I take it that there was some regular turnover in
5 personnel within inside sales?
6 A Yes. 7 Q If we could, just breiflysummarize the
\
8 responsibilities of these different people, people
9 that had responsibilities that aren't -- what I am
10 interested in -- we needn't spend a lot of time
11 with it. A Phil Eckhardt is a senior sales correspondent.
12
| !
13 He's currently in the steel group, and he handles il
14 miscellaneous steel accounts. He has, in the past ;
15 handled most of the major accounts.
16
MR. HEINTZMAN:
Why don't you focuse
17 this on which of these people might have had these ! i
j18 responsibilities, and they might have had
19
responsibilities for Chicago or Louisiana.
;
20 A' D.M". Reed.
21 Q Did he handle Bethlehem?
A He inherited that from Mr. Stetzel. 22
!
i
j23 Q Was Bethlehem Steel Corporation one of the major
24
accounts that someone would be assigned to?
j
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1 A Yes. 2 Q Who took over Bethlehem at that time?
!
3 A I'm trying to remember.Mr. Paine, he wasn't
\
4 really involved. He is no longer with the
5 Company, and he didn't handle any major accounts.
6 Q What was the region?
\\
7 A It could have been a number of regions. We all i
i
8 handled several areas.
1
9Q 10 11 A 12
The only areas I have any interest in is western,
eastern Ohio, Steubenville and Pennyslvania.
I am pretty sure he would have been on this.
MR. HEINTZMAN:
Just specify who
13 might have been in the Pittsburgh office at the
i
I
14 time.
I
1
15
A
Was held by Mark Caufstein. Mary McKinney, and
;
i
16 Phil Eckhardt, I am sure would be involved at some
17 point in t -?.e with the Pittsburgh office.
18 Q Okay. Mr. Veliamori was not involved in any of
19 the areas that I mentioned or ma.jor accounts that
20 would have been covered in those areas?
21 A He wouldn't have handled any major accounts, but
22 he may have handled Pittsburgh, at some point in
23 time. I really can't say.
24 Q What was his basic time period he was in these
FINCUN-MANCINI
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601 ROCKWELL AV. SLITS 505 * CLSVELANQ OHO 44TU (216) 656-2272
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1 sales?
2A
He was only in for a couple of years, but I can't
3 say when it would have been.
4 Q Before or after 1970?
5 A It would have been after 1970.
6 Q Okay. And, Mr. James?
7 A He could have handled some Pittsburgh territory,
8 at some point in time. He has been involved with
9 distributors.
10 Q So, his responsibility was mainly with
II distributors of MARCO products?
12 A That's correct.
13 Q What time period would have been accompanied by
14 Mr. James working time span?
IS A About 25 years, I think.
16 Q And where is he today?
17 A Right here.
18 Q Mr. Tesic?
19 A That's Ms. Tesic. She's a recent employee. She
20 has been with us a little over a year.
21 Q And Ms. or Mr. Breudigam?
22 A Breudigam; he would have handled Pittsburgh area
23 in a relatively recent period. He is also
24 relatively new. I would say three years.
i
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--------------------------------- 60* ROCKWRi. AVI rn sure 505 CL6V&ANQ OHO 44714 -------------------------------------------1 (216)696-2272
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1 Q Randy Ferline?
j
2 A Randy Ferline was a junior account representative. |
i
3 She was only here a short period of tine and was i
4 never involved with anything.
i
5 q Mr. or Mrs. Lauterbach?
6 A Dave Lauterbach is a recent employee and is a 7 junior account representative.
I
!
8 Q Mr. Bahr?
9 A Mr. Bahr has been with us now 15 years. He could
TO have handled the Pittsburgh territory at one time.
11 It's part of his responsibilities.
12 Q He is still in NARCO in Cleveland?
13 A Yes. 14 Q What's his first name?
^
15 A David. 16 Q Mr. Hoffman?
I
j
17 A That's Miss, and she's a recent employee; just
13 going on about a year.
19 Q Ms. or Mrs. Viancourt?
20 A Viancourt, he is also a recentemployee.
21 Q Ms. or Mrs. Costa?
22 A Mark Costa has been with us fiveyears; would have
23 handled the Pittsburgh territory definitely.
24 Q So, he's still with NARCO?
FINCUN-MANCINI
The CoLrt Reoorterc
605 ROCKWSU AV. SUfTg 505 CLEV=LAN0 OHO 4dTU (?6) 696-2272
1 A Yes.
2 Q Mr. Willine?
3 A Mr. Willine; he has been with us five years, He
4 would not have handled Pittsburgh.
5 Q Ms. or Mrs. Suhn?
6 A Tom Suhm, is a long-time employee. He has been
7 with us, I think, 20 years; 15 at least, 15.
8 probably closer to 15.
9 Q What was his responsibility?
10 A He could have handled Pittsburgh at some point in
n time.
12 Q
Is he still with NARCO in Cleveland?
13 A Yes, he is.
14 Q Okay. Mr. McKinney?
15 A Ms. McKinney is a recent employee. She currently 16 handles the Bethlehem --
17 Q Okay. Oh, and then Mr. Bruncak?
18 A Mrs. Bruncak. I'm sorry, that's Mrs. Bruncak.
19 Q You gave me the initials. You didn't tell me
20 their first names.
21 A She handles U.S. Steel, and, at one time, I am no
22 sure, she may have also handled Bethlehem Steel.
23 She would have also handled the Pittsburgh area.
24 She's a long-time employee, 30 years. She starte
FINCUN-MANCINI
The Coat Reporters
40! ROCKWELL Avt * surrg 505 CtSVELAJVQ OHO 44R4
(26)696-2272
TP*nSCS:Bt,Cn 8v xSC3'8
in the Pennsylvania plant. Q What is her first name? A Vonda, V-o-n-d-a. Q And she's still with NARCO in Cleveland? A Ves. Q Mr. or Mrs. Derrick? A New employee. Q D.M. Stephanie? A He would have handled the Pittsburgh area. He is
no longer with NARCO, and I should know where he -- about a year ago, I think -Q How long had he been in the NARCO inside sales force? A I would say he was in with us about three years, and then, he went to another division as a serviceman. Q M.A. Newman? A M.A. Newman was a short-time employee; wouldn't have had anything to do would it. She's no longs with us. Q Okay, if you could, please explain the paper system that would have been -- strike that. Assume you have a customer who wants to buy something from NARCO. Please explain what pieces
FINCUN-MANCINI
The Cocrt Reporters <501 ROCXW&L AVi SUITS 505 CLSVclANQ OHO 44TU
(214)696-2272
j
i
of paper are created as part of the sales process, :
whereby a customer wants something, NARCO sells it j
to them, and various paperwork is created. If you
could, just walk through the process one step at a
time.
Currently? No, in the past. And, if there were -- if there were different
j
j j
systems at different time periods, if you could,
tell me that at the beginning, so we know what
time period we are talking about.
There are different systems. The way it originally was set up, when I first joined the
j
i i
company, if we were to receive an order, we would i
look to see if a quotation had been prepared,
compare the order with the quotation. We would then have established, what we called at that time, a "'handwritten preliminary order." The
j
t
I
i
j
handwritten preliminary order would then have been
processed by an order typist. That order would
then have been returned for checking to the sales
correspondent, who would then break up the order parts.
I
It was a seven-part order form. He would
I
FINCUN-MANCINI
The Court Reporters
----------------601 ROCKWELL AV. SUITE 505 CUVSLANQ OHO <14TU ------------------------------------------- (?6) 696-2272
C3mPutC8-aiOEO 'S*nSCS'T:Cn 8v X$C3 BS
1 2 3
4
5 6 7 8 9 10 n 12 Q 13 A
14
15 16 17 18 19 20 21 22 23 Q 24
retain those copies that he required for his own j
particular use. He would mail the customer an
acknowledgment form. He would return the front
sheet copies to the file clerk for filing. He
would place the other portions of the order -- the
ones that went to the plant, he would place in the
mail to the plant.
And, if a copy of the order was retained,
it was directed to our operating department. They
would look it, and either question it or discard
the copy.
Okay.
Now, that stayed in place until we went up --
until recent years where we tried to establish
f
a -- we were hoping to get a customized computer order entry system. And that, essentially, would
|
i
have been just about the same, with the exception
that the order would be -- it would have been then transposed to what is a computer form type thing, |
jwhich would then have been input into the system
by the order typist, and the same would still follow through.
When did the computerized system begin to be implemented? I assume that the old paperwork
j |
i j
FINCUN'MANCINI
The Cool Reoorten
----------------------------------601POCXWSU AVS. SjTTE SOS CtSVELANQ OHO 4404 -- (TVS) 696-2272
j -------------------------------J
I
1 system no longer applied?
!
2
MR. HEINTZMAN:
I object. I am not i
3 sure that those things are inclusive.
iQ 5 6A
When -- let me ask this: When did the computer systems begin to be implemented?
j
j
JThere were computer systems. One currently, which
7 was in '83, and one that we had prior to that, in ;
8 '81 .
j
1J
9 There was one other change, prior to that j
10 time, when we found the mailing of the plant order j
forms were too slow, so we had the order copies
j
11
I
12
taken and directly input, teletyped it to the
1
13
plant, and the teletypist -- the form was then
j
14
changed so it fit the teletype machine, and the
j
15 teletype machine would give it to the plant that
16 would distribute the order forms.
j
I
17 It was the same, except we didn't have to j
18 mail the order forms to the plant.
19 Before the system, is it ray understanding there
20 was an order f.orm that was created by the sales
21 force, and that order form would have been the key
j
22 document that would have been sent around to the
23
different offices to make sure that the various
j
24 things happened that had to happen in order to
FINCUN-MANCINI
TheCou? Reporters
601 ROCKWELL AVE. StfTE 505 ClSVSLANQ OHO 44TU (2k) 696-2272
i
1 make sure that the product got to the customer?
2 A (Nods head.)
]
3Q
Is that order form the same thing as the greer.
j
4 5A
sheet? The green sheet was part of that order form.
| I
6 Every order was a part of that green sheet.
i 7 Q What's the difference between the green sheet ar.d ;
8 the order form?
I i
9 A It is just a replica.
10 Q Oh, it is a copy?
II A One of the seven copies. 12 Q NARCO's counsel has made available to me, just
13 before the deposition, a box of about seven or
J14 eight inches of documents which were represented
15 to be green sheets available to NARCO with respect !
16 to sales to Bethlehem Steel Corporation, ;
!
17 Johnstown; is that correct?
i
[
j18 A They are copies of the green sheets to Bethlehem
19 Steel, Johnstown.
20 (Discussion, off the record.)
21 (Plaintiffs' Exhibit 2 marked
22 for identification.)
23 Q Mr. Spahlinger, I've marked for identification as
24 Deposition Exhibit No. 2, a one-page document
FINCUN-MANCINI
The Court Reporters
------------------------- - 601 ROCKWELL AVS. $UTS 505 CLEVELAND OHO 441U-------------------------------- <216)496-2272
which was the first sheet among the documents
produce by your counsel. Can you identify what
this document is?
It's a copy of the green sheet, which is a copy of
a sales order.
Now, on this document, this sales order would be
created by someone within the sales force of
NARCO?
That's correct.
The customer may have also sent a purchase order
to NARCO, in many cases, would they not?
Yes. That would be a document on the customer's stamp
or letterhead saying, please sell us such and such j
a material at such and such a price, and ship to
such and such a location? That's correct.
i
What happens to the purchase orders of customers when they come into NARCO?
j
The purchase order- of the company would have beer,
associated with what we call the goldenrod copy of
the sales department order. Where would that have gone?
j
I
As long as it was active, it would have remained
TheCout Reporters
601 ROCKWELL AVS. SUTE 505 CLEVELAND OHO <M1U (216)696*2272
with the sales correspondent or the senior sales
correspondent.
So, the purchase order generated by the customer
would have went to the sales representative, not
to some central location in NARCO?
No, the inside sales correspondent, not the field
salesperson.
So, the purchase order from the customer would have gone to someone within inside sales, in the
ji
corporate headquarters?
That's correct. Were purchase orders from customers retained over
i
long periods of time? They were retained until the order was complete, and it was filed into what we call our general
j
i
!
order file, and then, it was up, really, to the !
discretion of the sales correspondent. If he
i
i
l
wanted to keep it for more than a couple of years, j
he could. If he didn't, he didn't have to.
Turning to Plaintiff's Exhibit No. 2, the
purchase, the sales order -- strike that. Turning
to Plaintiff's Exhibit No. 2, which is the sales
j
order, could you explain what the first column of
numbers is on this document?
The Court Reporters
601 ROCKWELL AVE. SUT 505 CUVSIANQ OHO 445W (216)696-2272
_Ts.^-a.Ow
1 A Yes. On the upper lefthand corner, where it says
2 "charge", that generally -- well it did mean -- it
| 3 would indicated to who it would be. There, that j
4 meant sold to. That would be the "soid to"
5 address that appears, then, in the upper lefthand
6 quadrant. I believe price -- in this particular |
i
7 case, it says "special," which means there was
8 special distribution of the invoices, either at
9 the customer's request -- and it usually is at the 10 customer's request -- so that it meant that there
11 was special handling to the invoice, really. 12 If it went to the Billing Department, the
j13 Billing Department would be aware of what those
14 special instructions were. And, then, the invoice :
15 could be disseminated.
16 And they wanted -- Bethlehem Steel wants |
17 to make sure that the invoice per payment is sent j
18
to the central office of Bethlehem Steel in
j
19 Bethlehem, Pennsylvania, even though the product j
]
j20 is being shipped to Bethlehem Steel in Johnstown,
21
Next space is "invoicesnot priced."
I
j22 There were invoices with no priceson it. Then i I
23 something would appear there. Since nothing was
24 there, it wasn't required.
i
I
i
i
----------
FINCUN-MANCINI
The Co</t Reporters
j
601ROCKW6U. AVI SUTTE 505 CLSVSLANQ OwO 44114----------------------------------------- (216)696*2272
1 The next space says, customs invoices.
2
and that referred to the invoices for the
j
II
3 shipments. Since that wasn't required, nothing is j
4 there. It says 1, so one copy of the bill of
S lading was sent to the sold to address.
6Q
Which in this case was --
7 A Notice of shipment, again says, "special." There
8 are special instructions as to how the notice of
9 shipment were to be distributed to Bethlehem
10 Steel.
11 "Territorial Credit"; in this, it says 12 that Cleveland office was getting two-thirds
13 credit for this, and territorial department, which
i
14 was our office, was getting one-third.
15' Q 16
Why would the Cleveland office have anything to do :
i
with a sale to Johnstown, Pennsylvania?
j
17 A Within the marketing department, it was considered I
13 whether any particular accounts would become house
19 accounts. So, this sale, here, is a shipment of
20 seconds, brick seconds; They are not firsts.
21 They are at the cheaper price, for which we would
22 not give full sales credit to a sales department
23 person. Cleveland would keep two-thirds of the
24 credit, and Pittsburgh would keep one-third.
FINCUN-MANCINI
The Court Reporters
601ROCKWSU AVS. SUITS 505 ClSVElANQ OHO 44IU (216)696-2272
Were these territorial allegations that have something to do with compensation of salespeople or something like that? It -- yes, it was usually used for outside sales; money for outside salespeople. If you could continue. Let me correct that. The only other thing significant would be for our sales records to determine sales for a ticket or total sales for a ticketed territory marketing those.
Minimum carload"; if this has been well, this was a rail shipment. It should have had a minimum carload figure in there. At that time, it could be a 1,000 pound carload. That really should be indicated in there.
II Preight Rate"; that's the freight rate that applied to that system. And in the upper right-hand quadrant, they had a split there between division and plant.
What they did was, really, the U.S. indicated the plant, but, so did the 60, so that was really redundant in that area, but that's the way they liked to do it at that tine. What do you mean, by division and plant?
The Court Reporters
601 ROCKWELL AVE SUITE 505 CLEVELAND OHO AdTU (216)696-222
CQMuTes-AiOGS :s*ns:9'P*;:n e-^ xS=aiae
1 A The division, I assumed, really, was a different
2 way of stating the plant name. They had assigned
3
like the Mount Union plant was U.S. division.
I
4 Ironton Plant would be Ironton.
5 Q You're talking about specific plants of NARCO?
6 A Of NARCO plants; that's correct. Por some reason
7 they wanted their name up there as part of the
8 division and the plant number, which was a
9 different way of stating the same plant, really.
10 I don't see why they did it. That's all. We
11 filed the form.
12 Q
Did the division refer to the particular NARCO
13 plant that would have been employed, had the item ;
14 being shipped to the customer?
\
15 A That's correct.
I
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16
Right underneath that there is a block
17
that says "special instructions," and these are
i
i
18 instructions that you associate with the plants,
19 so that the plant will understand the copies they
20 are getting.
21 In this, it indicates that a teletype was
22 sent to the company saying this was to be entered.
23 We did not want it to be complicated. At the time j
24 it was sent in, there was no statement number. At j
FINCUN-MANCINI
The Co^/T Reporters
601 ROCKWell AVS. SUTS 505 CLSVcLANQ CHO 44IU (Z16) 696*2272
CaM'-ir*-'*''03 :8*nSCRiBT,Cn 0 v X5C3I0E
1 2 3 4 5 6 7 8 9 10 11 12 13 14 Q 15 16 A 17 18 19 20 21 22 23 Q 24
that time, it would say it was going to be shipped to such and such a Bethlehem location, please prepare, be on alert to look for the order and ship it. It tells me this brick is to be shipped from stock of kiln furnace to Mr. Kurtz's letter of 6-16-50, I can't find that individual in -since that was 1950, said ship one carload immediately and balance to be shipped as released.
One carload would have gone upon receipt of the order, and in accordance with instructions on the order, and the balance would be held until the client said, send me some more. It could be all of it, or a car or two. On the top, 9236 is stamp 1. What does that number mean? It just represents -- it's a random number, really. That was just the next copy -- sales order copy that was in the sequences of order that were being typed for that particular day.
We used to carry'them through from No. 1 up to 10,000, and once it got to 9,999, the series started over again. Was the number, this four-digit number, assigned by the internal sales office of NARCO?
FINCUN-MANCINI
The Coot Reporters
601ROCKWELL. AVE. SUITS 505 OSVELANQ OHO 44H4 (216)696-2272
I A It wasn't assigned. It was just a random number.
2Q
What office determined what the number would be?
3 A If it was typed from this office, it would come to
4 the Cleveland office.
5 Q And whatever the numbers happened to be, it would
6 appear on that invoice or the sales order?
7 The number had nothing to do with particular
8 customers or particular readings?
9 A It just came up.
10 Q It just came up?
n A Okay. When it says, "consigned to," it would
12 indicated the customer's name and the shipping
13 address that the shipping was to be made to.
14 Q So, the area where it says, "consigned to," that
15 determines where the particular products are going
16 to be shipped?
j
17 A That's correct. Then, the next line down is
18 routing, and in this case it was rail routing,
19 which would indicated that it started on the Mount
20 Union side of the Pennsylvania plant and then was
21 delivered to the Bethlehem side in Johnstown.
22 And the "sold to," indicates, really, the
23 company name that give us the purchase order. The
24 date of the shipment says we can ship at once and
FINCUN-MANCINI
The Court Reporters
601 ROCKWai AVS. a SUITE 505 a CLSVSlANQ OHO 44114 (216)696-2272
1 will balance as released, and that the order
2 number -- there was a repeat of this particular ! 3 sales order, and they had it retyped on at that j
4 particular spot.
5 So the order number, at the left-hand
i 6 side of the document, is the same as that in the ;
j
7 righthand corner. Then, the date entered has the
3 date that actually, that the order was entered
9 into with North American Refractories Company.
10 Q The Cleveland office typed up the document?
1! A No, that wouldn't have been -- it would have been
12 the date that the Cleveland office received the
13
order, which may be the same day the order was
|
M typed.
1
15
Then, the next space to the right is a
,
16 customer's purchase order. That would generally, I
1
17
be taken off.of the customer's formal purchase
I
i
18 order.
19 Q So that's a number created by the customer, by
20 whatever coding system the customer used?
21 A That'scorrect.
22 Q The same as if that was their initial?
23 A Yes. 24 Q Okay.
FINCUN-MANCINI
The Cout Reporters
601ftOCXWSJ. AVg. $UTS 505 CtEVSiANQ OHO 4404 (216) 696-2272
A
1 A It would also give the date that the customer 2 order number was typed. 3 Q What's the difference between the customer order 4 number and the customer requisition number? 5 A Many customers will order a requisition that might 6 be from the mill, or it might be from the brick 7 shed or the brick-main, and they write down an 8 application for a continuing product. He then 9 submits -that to his particular purchasing 10 department who then takes that as the basis for 1! issuing the customer order. i: Below that area, there is a series of 13 boxes beginning with "quantity." This meant if 14 from on board at our particular plant, the IS customer accepts responsibility from that, point on 16 to delivery. 17 The.second one says, "include carload." 18 And, the next two boxes, really, meant if freight 19 was included, in the right side, one of these . 20 would have been included, and it would go "freight 21 to," and the designation would have been 22 Johnstown, Pennsylvania. 23 But, since it was denied, it did not 24 apply. "FOB" meant the customer is paying the
...... .............
FINCUN-MANCINI
The Oxrr Reporter
ftp! ROCXWEU. AVS SJTTS 505 QJVELANQ0*0 441U --------------------------- -(216)696*223
1 2 3 i 5 6 7 3 9 10 II 12 13
14
15 Q 16 17 IS 19 20 21 A 22 23 Q 24
freight charges; whereas, if you would check the "include carload,'* too, that means that it would have been continued, the freight shipping to a continuing location.
j i ; t | i
Over to the right of that, underneath the
sales department instructions, it says, "prices figured on a rate of." If that had included
j i j
freight, then a figure would have been typed in
there to tell us what that would have been.
And, right below that, it says, "freight
basic" and that would have 'been either said
j
carload or truckload. And, number of pieces of product shipped.
there is a quantity, that has to be
a
1 ; fI
If I can stop you for just a moment. The columns
that are beginning to talk about quantity and
brand and description, that's referring to the
particular order being shipped to the customer. What would be the different unitsthatcould appear in the quantity column?
i
, I
For example, numbers of brick would be ir. pieces. ;
And, specialty products, it wouldbe inpounds.
;
So, if it is was a material that a came in a bag j
or a carton or something, and it wasn't a brick,
FINCUN-MANCINI
TheCo^/tfteoorteo (36)696*2272
! i
!
j
something that you could have counted, the unit
would be in terms of pounds?
Pounds.
So, let's say you're shipping by air, and it's
'
coining in bulk, and there is something there in
j
terms of numbers, but there is no unit right after ;
the number. That should be interpreted as being pounds?
i |
Yes, but there should be an indication of a pound
beside there.
Okay. And the brand column; that would be the NARCO brand? That would be the NARCO brand of the system being
t
I ii
shipped, and the description would be a further
description about the particular product.
i Now, in this particular case, there is an
instruction by the customer's item member. That's j
the customers designation; means that they are not j
quite up to par, and they are getting under normal
value for our product.
Now, in the description product when you you have i
something there as a number times a number, you're }
referring to the dimensions of a particular type of block?
|
I 1
FINCUN-MANCINI
The Coot Reporter 601POCKWSU. AVS. SUITS SOS CUEV&ANQ OHO 44tu
(2%) 696-2272
1 A That's correct.
2Q
That standard is for our document number. If this
3 might be a special shape, we would have had a
4 drawing set up for them, and a drawing would have j
5 appeared in this column.
j
6 Q And the price?
1 !
7A 8
The price that the customer is being charged for that particular product that we are shipping to
i j
!
j
9 him.
10 Q Does the unit relate to the price?
11 A Yes.
j
12 Q So, if there is a number in the price column, and j
13
a number in the unit column, it's the price per
j
I
14 that many unit?
j
IS A Normally, that's the case. Sut, r see in this I
16 particular case, that, obviously, the NT is in it, .
17 which means net ton.
18 Q So, we are shipping 75,000 pieces ofbrick. We !
19 are going to channel them on only the weight of
20 that brick, and it's going to be charged at the
i
21 rate of $13.00, at that time?
j
22 A Yes. That's an unusual situation. Normally, when j
i
23
we charge brick, we charge either on a per
j
24 thousand number of pieces, or on a per each basis, j i
flNCUN-MANCINI The Cout Reoohea 6QlffOCKVvaiAve.esuTESQ5saN^lAfClOH0 4^n4 ---------
(2b) 496-2272
t --!
What are the columns remaining on the form?
The unit is the price that, computing total price
for the order. The -- we only use the net or four bits.
We are no longer in that. We shut down one of our cars. It would designate the hardness, the burn of a brick. We would have been soft burn and high j
burn or medium burn.
j
i
So the burn, you would only refer to bricks, which
has been exposed to a certain type of process in
regard to manufacturing?
We were never involved with it. It was continued long before I started with it, with the company. !
I assume that there would have been a particular j
mix that was ordered.
The mix number would have been placed in this, ir.
this area. And, in fact, the usage of that cciumn j
that would have referred to some kind of special j
batch, for example, that was being-made and that
batch number would be referred to as?
I really can't tell on it. On the base, would have been the base price of the material. Which, it would have been our job.
i j
it
Since, those are after work, we employ a
FINCUN-MANCINI
The Cout Reoorteo
601GOCKWEU. AVt SUTE 505 OSVSLANO OHO 4AM (216) 696-2272
11
shape extra that was used for special shapes.
2 The 90000 gives you the total volume of i
3 that, 100 equivalent, which is 20 percent over the
4 normal list.
5 Q And, would that be to do with the weight; it
6 relates to the weight?
7A
If you have the size, so that you have a
8 particular weight factor for a particular weight.
9 you can come- up with that particular weight for
10 that date; the total the equated with, really
11 times the quantity factor. 12 Q On this particular, the 90000; what does that
13 refer to? 1.20; is that the weight at the time it 14 is being calculated?
IS A No, the total weight of seven is 90000 equivalent. 16 Q What is the unit that that 90000 is in? Is it in
17 cubic inches* or what?
18 A It's what we call brick equivalency.
19 Q That's now an equivalent?
20 A Tft'At's correct.
21 Q And, by knowing that, somebody might know how many
22 boxcars might be needed for the brick, or
23 whatever? 24 A Yes.
FINCUN-MANCINI
TheCouT Reoorten
---------------------------------601GOCXWEU. AVS. SUITS 5C5 CLSVSIANQ OHO (216)696-2272
---------------------------
1 Q So, that figure, that 9 inch equivalent would not (
2 be something you could immediately convert into a
3 price, somehow?
^
4 A No.
j
5
Q
I notice by looking at thisexhibit,this sales
|
1
6 order, the total price that the customer is being
7 charged for this particular order does not appear
8 on the document? 9 A That's correct. 10 Q Why is that?
\
i1 i
i
I
11 A Total price is never real-ly shown on our
12 sales orders. We have an evaluation that is shown ! i
13 on the computerized system, but more for a reason
i
14 of just looking at it and knowing where the Hell
15 you have this.
16 The customer could have come up and
17 reduced the items released, or if you got the
18 first shipment and didn't like it. So, the order
19 department didn't -- it wasn'-t placed on the face
20 of the sales order.
j
21 Q Just to finish this up, this document that we have !
22 marked for Identification as Exhibit No. 2, is
23 dated 1950; correct?
24 A
That's correct.
FINCUN-MANCINI
The Coat Reporter
601 ROCKWELL AVE. SUTTE 505 OSVSJVNQ 0*0 44H4 (216)696-2272
1 Q For how long was this particular document used?
2 A This was used -- was the type of form that was
3 used by NARCO as a sales order. It would have
4 been changed when we went to the teletyping of the j j
5 orders directly to the plant. And. I really don't '
6 recall what that date was.
>
7 Q Okay. If we can just take a moment, the box that ' l
3
we have here has the sales orders, by year and
j
9
file. Could you just take a moment and verify
j
I ID what time period the system may have changed in.
11 A You mean --
12 Q Mr. Spahlinger, I have a sales order in front of i |
13 me that is dated March of 1971; is that correct? \
34 A That's correct.
IS Q And that is the same form that we were talking 16 about with respect to Exhibit No. 2, which is
j
17 dated 1950?
18 A That's correct.
19 Q So, is it fair to say that the form that we have
20 just'discussed in detail, that was used in 1950.
21 was the basic ordering system, at least up until 22 March of 1971, and your description of what the
23 different columns mean as to the document in 1950
24 would refer to all other computer generated forms
FINCUN-MANCINI
TheCourr Reoortet*
6C! ROCKWEU. AVS. SJfTS 505 OEVSLANQ QUO 441U
(76)695.2272
by NARCO, at least, until January of '7l?
!
You mean -- that's correct.
Going through the documents that have been
provided, 1971?
I have another document dated October of j
i !i
That's correct.
;
And does the October 1971 document reflect the
revised system thatcame into
being when you!
changed the teletypingsituation? Yes, it does.
j i ;
(Plaintiff's Exhibit 3
marked for identification.}
! ;
j !
(Discussion off the record.)
i
(Luncheon Recess)
MR. JENNINGS:
Okay. Me are back or. '
the record. .
i
Turning to Plaintiff's No. 3, which is the sales j
i
form that would be in effect up until some time ir. i
1971; what happens in a situation where the customer was ordering more than would fit on cr.e
page? He would go to page 2. How would page 2 be recorded to reflect that it
| |
i !
j
FINCUN-MANCINI
The Coirt Reoorten ............ . 601ROCKWSU. AV6. e SUT6 505 CtSVRANQ OwO 441U
(.2*) 6*6-2272
j
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was page 2 of sortie other sales order?
Well, under this system, things would have been -- :
it would have said continued at page 2 on the
bottom of the form, and on the top of the form it j
would have said "consigned to" and page 2, and
!
then up on the top, the number would be struck out ;
of the completed sales order form, and the next number would have been substituted in it's place. Okay. Does that mean that the four-digit number
! !
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in the upper right-hand column of one of these
order forms would be struck out because it was on
page 2 and page 3? Page 4. Page 4 of some earlier order?
j
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That's correct, yes. It was actually the same order, but, since the
I
numbers had no meaning, that's why we crossed them j
out. The four-digit number that went up to 10,000 on the upper right-hand corner; was that stamped on
i
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the forms? Preprinted.
Ii j
Preprinted. So, a clerk would have a box of then ! i
somewhere, and every time one of the clerks pulledJ
FINCUN-MANCINI
The Coat Reooewi
------------ 601 OCXW0j.Av.e SUITS 508 OSVSlanqOmOajtu -------- (216) 696*2272
out one of those seven-part order forms, there would already be a number In the upper right-hand j corner? Correct. If we could turn to Plaintiff's Exhibit No. 3 which is a one-page document dated approximately October of 1971, could you identify what this is? This is the type of order that we had instituted to allow us to enter the order directly by teletype with our plants. And, this form has a sales order in the upper right-hand corner of the form? That's correct. And did this serve the same function as the earlier form, in that, this would have been prepared by someone with internal sales in Cleveland office, with respect to the order of some material by some customer? That's correct. In the upper left-hand corner, there, there is a logo with NARCO and what appears to be an Indian head and an arrowhead? Uh-huh. You have to say yes or no.
The Cout Reoorten 601ROCKWEU. AVf. SUITE SOS ClSVElANQ OHO <UIU
(?6)d96-2272
rs that a logo that NARCO used in connection with
its business activities?
That's correct.
Does that particular logo appear on containers of
NARCO products, in one form or another?
If not on all, on most of them, yes.
Is the logo that appears on the upper left-hand
corner of Exhibit 3, a logo that's unique to
NARCO?
As far as I know, yes.
You're not familiar with any other refractory
company ever using a logo like that before?
No.
In the upper left-hand corner of this form,
Exhibit 3, the title North American Refractories
Company is listed?
That's correct.
Now. what does it say right below North American
Refractories Company?
It says division of Eltra Corporation.
Does that refresh your memory as to whether or not 1
NARCO was ever operated as a division of some
1
other company?
`
The Colt'5eoone
601 ROCKWELL AVE. SUTS 505 CLSVELANQ CHO 44IU (Z*) 694-2272
Apparently, it was.
Do you know when NARCO became a division of Eltra i
Corporation? Specifically, no.
j !
Do you know approximately when it happened?
|
No. I can only assume. I can only make
!
assumptions. MR. HEINTZMAN:
you know.
i
Don't assume, only what j j
If you could take a moment or two, explain the columns on the order form that has been marked as 1
Plaintiff's No. 3?
Okay. And if there's any significant difference from
what we've talked about before, if you can, explain it. I don't know, that there are any significant
i j
i j
differences. All I know is we tried to design a j
form to get.rid of some of these things we
considered extraneous. "Customer No.," each customer was given a
number, and that was then entered at the top of
the order form. The plant that was to do the preparation and shipping is indicated in the
FINCUN-MANCINI
The Com Reporters
601ROCKWSU. AVS. SWTS 505 CLEVSLANQ OHO 44M (216)696-2272
1 left-hand corner, and we, again, show whether the
2 order is entered by it WX or mail?
3 Q wx?
A A Teletype. But, we may have a interruption of
;
I
5
teletype services, and, so, if it went out, we
|
6 still wanted the orders out by mail, and we would
7 send them by mail. So, we left that on there.
i
8 The "route via." indicates how the route !
9
was to be- routed. And, in this case, it was a
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10
truck shipment and McQuade was the trucker.
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11
Again, it shows the bill of lading and
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12
how the bill of lading is to be distributed.
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13 Notice of shipment, again, "special."
U That's how the shipment was to be distributed.
15 The code, I don't know what that meant at ail. It
16 had nothing to do with us, so it was left blank.
17
Business class; we decided to classify
I
IS our various customers by business type and that's j
19 what that stood for.
j
20 Q When you say, "business class," are you referring |
21 to the box with the "B/C"? 22 A Yes, that's right.
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23 Q And, that code would be, like, steel mill or 24 aluminum plant or something like that?
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FINCUN-MANCINI
!
The Coot Reoortem
I
6Q1 ftOCXWEU. AV. SjTTE 506 ClSVSiANQ 0*0 AAZA------------------------------------- '<
<Pd)696*2T2
That's correct. And, then, the territory credit
indicates how the territory credit for this
particular order was to be distributed ar.d the
l number of the invoices, and who was to receive the j
invoice.
j
In this case, copies were to be sent to
the "sold to" address shown in the "sold to" space '
on the order form.
Salesman's purchase number; changed
our practice of having sales order numbers there,
and what we did there is we insisted that our
sales offices send to us a preliminary order with
an order number on it, which they maintained the
logs of, and they would institute this particular
order number. So, beginning with this newer form, the sales
order number, was created by particular offices?
Let- me correct that -- that's not correct. We did
allow.that; for particular offices to do that.
This one indicates that this was entered
by our Cleveland location, and that's why the "C"
is there. We kept/of log of orders by numbers ar.d
these would be assigned, again, on a random basis,
but it would have to be -- the customer's name
The Cout Reporter
401 ROCKWS.L AVH. a SUTE 505 a aeVcLANQ OHO A4tU (26) 696-2272
! would have to be logged beside the customer's
2 order on the log we kept. It was a legal pad of
3 paper, and we put the numbers out and listed them
i
4
on there. And then the "sold to" is underneath
|
5 that.
6
And, in the left-hand side, you have
j
7 "consigned to," and which indicates, again, the
I
a
consign to and where they're to be shipped to.
j
9 And. in this case, it is Mechanics Station Truck
10 Stop 173, in Johnstown Pennsylvania, and the date.
11 This meant that it would be shipped any time
12 within that particular month.
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13
Q
If you will, continue explaining the columns on
j
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14 this form which has been marked as Plaintiffs' 3. s
15 A On the date entered, again, is going to be the i
6 date that the order was entered by Cleveland, and, j
17 then, the customer's purchase order number is to
18 the right of that.
19 Customer Requisition number is
20 immediately to the right of that. Customer order
21 date, and by this one, it indicates that it was by j
22 phone on the date preceding our October 4th.
23 Requested routing was the one if they had 24 a special carrier that they wished us to use.
FINCUN-MANCINI
rheCourfteoorfe* 601ROCKWSU. AVS. SUITE 505 CtVS_ANQ OHO 447-1
(216)696.222
I
1 Customer order -- release date -- was If they call
2 up and say, I want you to release such and such
3 material. If they have a release number that they
4 wanted associated with that, that would go on the j
5 next line down release.
[ I
6 "Terms" is 30 days, Womelsdorf. That's
7 our manufacturing and shipping plant. Three boxes .
! 8 indicated whether or not they included freight.
I
9 Then, an "x" would have been placed in this box, j !
10 or in the case of the next two relate to freight j
11 terms. In this, it is XX or collect and the "X" ! 12 indicates it's collect shipment. The space next j
13
\3
14
indicates the minimum weight and also the freight that the customer's charge to the contact.
15 Right underneath that, there's the 16 columns for "quantity ordered," "name," 17 "description," "size," and our drawing. You
18 understand the description column allows for all
19 ,of that.
,
i 20 The equivalent per piece was in the next j
i
21 column, the total, then next was our published
22 base at that particular time.
i
23 Q What do you mean, by published base? 24 A We had a published base price list.
) FINCUN-MANCINI
The Court Reoortea
601 ROCKWfU, AV SITS 505 CiSVSIANCt OHO 44514 (Zb) 696*272
What does it mean to have them under that base
column?
;
It just indicates the base that was in effect for !
that time. For example, here there is a No. 715, and then a period after it? That would have meant that that base was 715 per
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thousand, at that time. Was base price normallyreferred to in terms of
1
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thousands?
Yes, or net tons, if it was a specialty product.
If it were a brick, it would be a price per
thousand, per thousand brick? Per thousand 9-inch equivalent.
i i
Or, if it was another material that was packed,
j
for example, then the number would be numbers per? j
Net ton.
Net ton? Then, next is the for percentage extra, arJ. then
the pricing that would be charged to the customer,
and the unit of measure that was being used for
the price.
Then the bottom; is there any special
instructions?
FINCUN-MANCINI
TheCout Reoorten
601 GOCXWSll AVS. sun 505 OSVSLANQ OHO A4TU (2k)66-2272
Right. The bottom is special instructions for the
billing department or anyone, if you wanted to
give special instructions, too.
Now, the form that we have in front of us, which has been marked as Exhibit 3 would have come into effect sometime in 1971? That's correct. For how long a time period was this form used to
ii l
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reflect orders of material?
As far as I can recall, it would have been used
right up until we tried to get into our
computerized order entry.
That would have been in about 1981?
'81.
So, any of these sales order forms that we would
!
look at from 1971 until 1981, would be interpreted |
in the same way that you've explained with respect j i
to Exhibit 3?
j
Correct. Now, what would be the practice if more than cr.e
j I
page was necessary to record all of the materials
that were being bought by a customer using a form No. 3, that's been marked as Exhibit 3? Again, we would have had the same sales order
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FINCUN-MANCINI
The Coot Reoorteo
601ROCKWSU. AV6 SUTTE 505 CISVSIANQ CHO 44!U (2k) 696-2272
\
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number on the second page. That would continue or.'
all of the numbered pages. Then, you would have
been on the "consigned to" -- you would have beer,
on page 2, page 3, page 4.
j
Q You mentioned that in the upper left-hand corner [ I
of Exhibit 3 there was a customer number assigned
to particular customers?
A That's correct.
Q
When did that -- did that start in 1971, or had
:
i
that been done in connection with sales prior to |
1971?
A I really don't remember -- I don't remember.
1
Q Prior to 1981, was there any automatic data
processing of any kind in connection with sales
information? A You mean any computerization?
i
Q Yes.
A No.
Q Now, the order forms that would be filled out by
the sales department; those forms were not going to customers as part of the purchasing process, were they?
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A This was one set of the order forms. As I
indicated, of the seven-part form, that was our
i
FINCUN'MANCINI
The Coot Recover*
<50i Rocxwe.'. Ave. sura 505 cisvslanq c+o uu
(?6)6?6-22?2
t ormal order acknowledgment form, which was sen
2
to .the customer, unless they sent us specific
i
3 instructions not to send it.
1
A Q So, customers on occasion, would regularly receive | II
5 copies of these order forms as a way of
j
' 6 acknowledging that they had been received and were :
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7 being processed by NARCO. But, in some cases if
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8
they didn't want them, they wouldn't get them?
j
9 A Unless they specifically instructed us not to mail
10 them, we would mail them.
II Q Oid NARCO have relationships with some customers
12 whereby there would be blanket purchase orders or
13
annual agreements as to sales, whereby the
!
14
customer would already have a pre-existing
15 arrangement, and all they would have to do is
16
contact NARCO to release a certain quantity cf
\
17 something according to a previously arranged sales j
18 arrangement?
.19 A Yes, there were some, but relatively few, to be
20 honest. We didn't want it. We would rather
21 manufacture the specific order.
22 Q To the extent that there were these broader
23 purchasing arrangements, how would they be handled
24 differently, if at all, with respect to the order
' FINCUN-MANCINI
The Court flepows
601GOCKWSU. AVi SUTS 505 OfiV-LANQ OHO 44*4 (216)696-2272
documents?
Actually, they wouldn't have been handled
differently. The blanket order would have beer,
made up on a specific sales order, such as this
and marked blanket order, and then it would have |
been filed away, really. And then any time that j
they wanted to release against it, we would really: i
enter*a new order to actually create manufacturing! I
for that particular product.
Now, the sales order form would have been the
document to get the actual shipment of the
material going on its way to the customer?
j
That's correct.
>
What happened to the sales order forms after the
material has been shipped to the customer? !
Again, it's going to -- I say sales order forms. I :
am going to have to ask you which part?
The portion of the form that would have been created in, or received by, the central sales
((
office in Cleveland -- I think you referred to it
before as a green sheet. i
Green sheets, right. As I said before, we get -- j
the sales correspondent really had three copies of j
it. The green sheet, itself, would have been
The Co*/t Reporter*
aoi ftocxweu avs. surrs sos clevrang oho mm (216)696-222
!i i
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3i I
4
5
6
7 8
9Q 10
n 12
13 14 A
15 16 17 18 ? 19
Q A Q A
20 21 22
23 q 24
going from the sales correspondent, and it would
go into the sales admin.jtration or the manager cf
the inside sales department at that particular time for his review, and he would keep a running
tally on a day-to-day basis.
And, from that, it would then go back to
the file clerk and be filed into our central
files, green sheet files.
Okay. So, the green sheet copy of the sales order
form, after it has been reviewed by the
appropriate people within the internal sales office, would go to the central files for record keeping?
i
i
That's correct.
Those central files are located in Cleveland?
Yes; that's correct.
How are those files organized in Cleveland?
They are organized, we have certain -- actually,
it is by date, with the customer, alphabetically.
We would have special files set up there
for the major accounts for any complicated enough,
more than one folder could be created.
i
So, the the green sheets would have been filed by
the customer, and within a customer's file they
. FINCUN-MANCINI
The Coot Qeocrtw*
60) ROCKWELL AV& a SUITE 505 CLSVSLANQ OHO 44TU (76)696-2272
would be filed by date?
That's correct. For what time period -- strike that.
What time
period of records are still maintained of these
\
green sheets that were completed by the sales? Well, from what I can examine in searching the
i fl
files, we go from sales as early as 1941- up until I
the present time.
!
]
Are those files of sales records still kept in the!
Cleveland office? Yes, they are. And where are they located?
In a file room on the 9th floor, adjacent to the
j ] j !
1
sales department, inside the sales department.
Do you know if any of those records that are maintained in that 9th floor file room have ever
!
been destroyed pursuant to any record destruction j
policy? It's not our policy to destroy those records.
j
Thdse are important to us, and we tend to keep
them.
So, to the best of your knowledge, the records of
historical sales of North American Fefractories
Company are complete and are in existence, as far
The Court Reoorten
601ROCXWSX AVS. SUTs 505 CiSVElANQ 0*0 44114 () 696-2272
1 2| A 3Q
5 6A 7Q 8 9A 10 11 Q 12 !3 U 15 16 A 17 18
19 Q 20 2! A 22 Q
23
24 A
as you can go back to, 1941?
As far as I can see. You don't have personal knowledge of what the
record keeping practices were, specifically, as to;
v` the materials from 1941 to 1951?
j j
That's correct.
I
What leads you to believe that they are complete
for the time period of 1941 to 1971? Simply because we've never ever had an occasion for anyone to say to us we left them out. Okay. And. in the case of a customer that has,
i
i i \ j
for example, more than one steel mill, let's say
US Steel, for example, that has steel mills all
over the place; are the sales files organized by
plant or just by customer?
It's going to depend on the customer and the type
of business.we do with him. But, if he is in
jurisdiction we are going to do it by plane. Are the sales records for US Steel organized by
i
plant or by US Steel? US Steel is organized by plant.
J |
And are there any central files for US Steel that J
aren't organized just by plant?
'
None that I know of.
J FINCUN-MANCINI
The Cot/t Reporter
401ROCKWEU. AVS. SJTE 505 CLEV6UUQ OHO ute (2*6)496-2272
MR. HSINTZMAN:
You're calking juse
plant only?
Are the sales records that we have been discussing on the 9th floor file room records that are in
your Jurisdiction?
Yes, they are.
You have signed an affidavit indicating that, to
the best of your knowledge and belief, there were
no sales of anything to the Johnston works at US
Steel.
Please explain for me, the process you
went by to come to that conclusion.
I didn't recall any, from a personal view.
Secondly, we went through all of the -- a sheet
and could find none.
And, then, third of all, I went to a
veteran employee of NARCO, and she also worked
here, with you, and the Baytoury plant, and if
anyone would be aware of a sale in to US Steel.,
she would be one person outside of most who might
have knowledge off it. And she could not --
Is there -- is this any US Steel in Cochocton?
No. You obviously didn't find a folder with anything
The Coot Reoorten
401ROCKWELL AVE. SUTE 505 CLEVELAND ChO AATU
(216)694-2272
in it for Johnstown, because you could find r.o folder; is that correct? No. I said I went through the entire US Steel
j
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file, sheet by sheet, just in case anything got
misfiled.
Now, is it fair to say that most of the purchases by US Steel for plants around Pittsburgh within
j
100 miles of purchase were from the central office j
down in Pittsburgh. I am sure you meant central
purchasers, as opposed to some purchasing agent at
some specific plant?
Most. I would say, yes, that's true.
From your experience with the Pittsburgh
purchasing office, when US Steel purchased materials, did they always specify where it was
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to be kept, or did they later make sure it went to j
where they wanted it to? They always refer to a specific location.
j
I never j
heard of US steel having a -- anything.
US Steel, Johnstown had a display for refractory
products. Did you ever hear of why you never made any sales
to Johnstown?
MR. KEINT2MAN:
To US Steel?
TheCout Reporters
601 ftOCKWSU AVs. stirs 505 OiVSlANQ OMO 441U (216)696-2272
A To US Steel. It is -- only thing I ever heard
not specificly related to her, but to Johnstown
Q I'm sorry, I'm confused by your answer. It see
you started to say something.
*
A To US Steel -- there was a expansion between US
Steel and North American Refractories, and for
many years we didn't do any business with US
Steel.
Q So, whatever the reason is, to the best of your knowledge and belief, North American Refractor:?
Company never sent anything of any kind or
significance to them, for which records were
destroyed?
A Yes.
Q Maybe you already answered this, and I apologize for it, but if I am, if you wish to make a
statement?
A It is because we have never had any kind of sear
or destroying or throw anything out. The record
on the green sheets are just too valuable.
There are some shapes, for instance.
are not ordered, too, on a timely basis, and I c
think of a real situation where a man called me
from New England. And, going back to about the
The Cout fteoorten
601 ROCKWELL AVI SITE SOS OJVsLANQ C0 4412 (256)696-2272
Are you familiar with the green sheets that were brought here, today? Yes. Is there any other record? Earlier, you mentioned that a log was maintained of sales order numbers that would request the customer name after the sales order number.
For how long a period of tine was a log of that nature maintained? Well, as I said, it was written on a legal size pad really in pen, and we just kept it on a continuing base. Are any of these logs still in existence, for areas, prior to 1961? So this thing indicated -- there was a running log. And is there any log, or compilation of any kind that records -- records is not. the best word that relates to sales -- service orders from customers for any time period over 'SI** to -- so, there is no way to what is on the historical fi is some receipt that elimlna the hard copy?
HNCUN-MANCI
The Coot Reooften
601GOCXWEU AVS. SUTe 505 CtEV&A (216) 696*2272
co-ure-A.seo 'banscs'* : 1V xs:'8E
1 A That's correct.
2Q 3 4
So, if anyone had a question about the sales, the' would actually get to that through the vendor. What tine periods are encompassed, based on the
5 documents that have been provided to me today?
6 A I'm sorry. I didn't hear you. I tried to get
7 them all the way up to today.
8Q
From a brief review of the documents, it's clear
9 they begin in 1951? Were there any documents 10 found that applied to any time period before 19SQ
11 A For a particular -12 Q For Bethlehem Steel, Johnstown?
13 A I would say, no, if they aren't working there. U Q Have you reviewed these documents at all, or were
15 they done under someone? Who actually did the 16 work of reflecting these? 17 A They just went to work. And, I also had some
18 volunteers helping on that.
19 Q Other than the customer's files with the green
20 sheets in them, do you maintain anyother
21 historical files? Are there any kind of document
22 relative to that; relative to relationships that
23 NARCO may have had with US Steel in '79 that are 24 generated and that relates to current sales?
FINCUN-MANCINI
The Cout Reporter
601SOCKW6U. AVE. SUTg 505 S CUVpjVjQ OK) 44(!fl (216) 696*2272
And, those marketing records; did they
encompass -- we are talking about just recently or are they kept for previous years?
They are kept. Are they specific; for particular customers, or
are they reports that aren't sent to the
customers?
We have some that are titled to some specific
customers.
Did you indicate that sale by plant?
Whether or not --
MR. HEINTZMAN:
By plant, do you m
a plant to which the product was sent, or the
plant that manufactured it? I mean the plant to which the material is sent.
Just so I'm clear, are there any reports earlie
than 1980, that recorded, in some summary fashi
sales of particular products to --
No. Did NARCO prepare, on a regular basis, some sor
of an annual record of sales to a particular
customer? I would like to know what was sent t
particular truckers over the year?
Yeah.
The Cour Reoorteo
<501ROCXWSU. AVS. a SUITE 505 CLSVSLANO OHO 44IU (76)696-2272
**-- *.<**.' sjsi-;n a* i S Z * a
I Q What's that record called?
2A
It's a summary report of some kind.
3 Q Who generates that?
4 A Billing.
1
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5
Q
What office, then in NARCO deals with billing of a i j
6
customer for material that has been shipped?
i
7 A Our billing department.
8 Q Is that located in Cleveland? Presumably, the
j
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9 billing department creates invoices that are sent j
10 to a customer for purchase, has it's own j
11 recordkeeping process. Have you checked to see 12 what the record was with the billing department as
13 to invoices? 14 A Yes, I have.
: 1
IS Q And what is their record keeping?
16 A '58. 17 Q Do you have any historical records to your
!
18 knowledge? 19 A No. 20 Q- Is that something you checked?
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21 A Yes.
22 Q Do they destroy the records?
^
II
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23 A My days are over, but now onlywith the -- after j i
24 five years.
j
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FINCUN-MANCINI
The Court Reoonem
i
6013CCKW3J. AVS. suit SOS CtSVSLANQ 0*0 44M---------------------------------- --1
(2*) 696-2272
- * d <a.;di
1
2 3 4 5 6 7 3A 9Q 10 A 1! 12 Q 13 14 15 16 A 17 Q 18 19 20 A 21 Q 22 23 24
Maybe I'm confused. The billing department; their ;
invoices, after 5 years, are physically destroyed, i
They are not sent elsewhere for storage. Who was
in the billing department that would be knowledgeable about the billing system, and that
would be familiar with the particular period of
;
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time. T. J. Walters.
j
Do they have a computerized system?
No, since we went on this computer system, it's an
order entry driven system.
Just so I'm clear, records that are maintained under your custody and control of the sales
j
orders, to the best of your knowledge, do those encompass all sales?
] 1
Ves. So, if a customer ordered, it would be written
iiJ1 ]
as -- it would have been -- created a sales order,
and a copy of that order will be in the file?
i
j
Yes. I'm glad.
{Plaintiffs'
Exhibits 4 and 5 marked for identification.)
|
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FINCUN-MANCINI
The Coat Reporters ------------ <501 rJOCKW&L AVE SuTTc 505 OJVELANQ OHO 4404
(216) 696*2272
.....
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-9 '
9
1Q
I have a one-page document dated approximately
2 February 4 of 1970, and it's a or.e-page document
3 and, also a document which has been marked for
4 identification as Plaintiffs' Exhibit 5. It's a
5 one-page document. And, I would like to show you
6 this, and if you can identify those as typical of
7 invoices that would be sent by NARCO to a
8 customer, in text.
9 A They look typical to me. I would have to say yes.
10 Q
I'm not asking you anything about the specific
11 materials that were sold as to those invoices. My 12 question is that the kind of form NARCO used to
13 move by its particular sales, these NARCO forms 14 that we have in front of us, Exhibits 4 and 5?
15 A Yes. 16 Q The oneotherquestion I havewith respect to 17 Exhibits 4 and 5. The invoicesthemselves do not 18 appear to record any locations of the order r.umoer
19 that was created by NARCO internally.
20 To the best of your knowledge. North American
21 Refractories Company has made sales within the
22 States of Ohio and Pennsylvania, and throughout
23 the course of it's attendance?
24 A Yeah.
The Cout Reoorteo
401R0CKW8J.AVS SUITS 505 eOSVSLANa OHO 44H4
Since you have been with NARCO in 1961. has NARCO
ever acquired any other companies that have seer,
in the business of the manufacturing of
refractories or insulation materials of any kind?
Yes, but whether or not -- whether you would say
NARCO did it -- I'm trying to think. Can't think
of it right now.
Would this be after '79?
I believe so.
Before 1979 , can you tell the aquisitior. of the
Company?
No. Soy, of all the problems I had today. I can't
remember the name of it. I guess I was glad to
get rid of it. In any case, sometime after
1979 --
What kind of factories are we talking about?
Did they make some special products?
Can you remember the name of the company?
MR. HSINTZMAN:
We will provide that.
It's not correct, but I was just giving it to you.
Anyways, there was one factory or a series of
factories, and I think it was three to five years,
and then, that factory was sold to someone else?
Yes. Allied had the business then.
The Court Reporters
<501 aocKwai avs. $ute $os osvslanq oho
(216) 696-2272
fit * a ^ 3 3
1 Q Mho was it sold to?
2 A I'm not sure.
3 Q Was it operated as part of NARCO operations?
4 A Yes.
5 Q Was it it's name changed? 3
6 A No, not at that time. It was changed afterwards.
7 Q And where is that located, approximately?
8A
I've never been there, so I can't say.
9 Q This second acquisition by Allied was the Gladder. 10 McDear. division? 11 A That's right. 12 Q When did that take place? 13 A It would be around '81, I think. I'm really not U sure.
15 Q What was your acquirement. 16 A It acquired some mining property and a sales 17 structure on the west coast, and I believe there
18 were four manufacturers. 19 Q What kind of products, roughly, did they make?
20 A They made fire fingers.
21 Q Did those assets come to be deliberated on during
22 deliberations?
23 A Valley Mineral Products.
24 Q They are now referred to as Valley Mineral
FINCUN-MANCINI
The Coat Reporter
'601E0CXWSU.AVS sate 505 CUVciANQ OMO 44iu-------------------------------------
(74) >96-2272
-*ns:s
S"' * a c * a c
1 Products. Do you know the reason they were
2 required to be divested? 3 A The. FDA made them. It was part of a -- tr.ey ha A to do with getting rid of mineral products.
5 Q At any time, to your knowledge, did NARCO or an 6 of its parent companies ever set up any substan 7 and just leave them?
8 A No.
9Q
Do you have any knowledge as to whether or not
10 of North Cost Products ever contained asbestos
1! fiber?
12 A No.
13 Q So, if I were to ask you, can you name one prod
M of NARCO that contained asbestos fiber, you wou
15 have no idea? 16 A I wouldn't have the slightest idea. 17 Q Do you know whether NARCO ever got involved in 18 - sail of asbestos fiber?
19 A Not to my knowledge.
20 Q- You're not aware of any? Aspart of NARCO's
21 business operations, have they ever operated sa
22 quarries or sand operations.
23 A You mean, what were the nature of these
24 operations?
FINCUN-MANCINI
The Court Reoortea
601 POCXW8U AVS. SUITE 505 e OSVElANQ OHO 44M <216)696-2272
J --- *9asS:s
- ^ 8 ^ xs
9C
1
i
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>
i
4
Q A
Yes. The quarry, I think -- I really don't know the name of it, I know it was located near Mount Union, Pennsylvania.
5 Q Do you know approximately when that quarry would 1
6 have been in operation?
7A
No, I don 1t.
;
8Q
9
Was this operation sc -`thing that was early in your career or --
!
10 A
I was never involved with anything to do with the
11 quarry, so I really had no reason to be aware of j
12 it, but, that it was being sent to our Mount Union j
13 Plant.
i `
*' 3 14 Q You don't recall various grades of it as being a
'15 problem?
16 A
No. Silica bricks, yes. But, not Silicon. ..
)
17 Q Please identify the manufacturing plants ofRanoo. | j
18 A
Current?
19 Q Let's start with when you started, in 1964? t
20 A Rogton, Ohio, and there was our Dover Plant,
lI !
i
21 Dover, Ohio. And, there was Curwensville.
22 Q
How's that spelled?
I
23 A C-u-r-w-e-n-s-v-i-l-l-e. 24 Q That's Pennsylvania?
| |
FINCUN-MANCINI
The Court Reoortea
601 (JOCKWSU. AV surrs 505 OEVSIANQ CMO 44TU (Zfc) 696-2272
1 A Pennsylvania.
: Q Mount onion, Pennsylvania, Woneisdorf,
3 Pennsylvania, Farber, Missouri, and then, we adds
4 White Cloud, Michigan. And, then the plants
5 currently at the west coast which would be Renton
6 Oregon, and Indian Hill, California.
7 Q Are there any other plants that you can recall
8 that NARCO has operated since 1981?
9 A Yes, the Williams Grove Plant products, Williams
to Grove, plant.
11 Q Where was that located? 12 A Williams Grove, Pennsylvania.
13 Q Do you know if there were any plants that N'ARCC 14 operated during -- for any significant period of
15 time, say in the 40's or '50's?
16 A There were several. There was Queens Run.
17 Q What state?
18 A That's Pennsylvania.
19
Q
And, I think it's Elk, but whether or not -- if
i l
20 there was a second part of that, that was in
21 Pennsylvania. Also, those are the only I can i
22 recall, and that was as a matter of hearsay.
23 Q Where was that near? Where was the Elk plant
24 near?
FINCUN-MANCINI
The Com Reporters
601 ROCXWai AVS SUITS 505 OEVSUANQ 0*0 44T14 (216)696-2272
1 A I have r.o idea.
2Q
The Ironto.n, Ohio, plant that was operated pre-
3 1961.
4 A Yes.
5 Q Is that still in operation?
6 A No.
7 Q When did that stop being part of NARCO, or when
8 did it shut down?
9A 10 11 12
We had a fire in there. I think it was 1975 or thereabouts, and it was shut down as an operati plant at that tine and became a warehouse. This property has since been sold.
13 Q When was it sold? U A Just last year, I think. The Irontor. Plant had
IS been a manufacturing facility for at least a 16 couple of decades before the fire. 17 Q And without giving the product names, what was 18 basic type of products that were made at the 19 Ironton, Ohio plant? 20 A Fireproof. 21 Q Were other things manufactured, other than brie
22 A Yes, there were specialtyparts.
23 Q What do you encompass bythe term, "specialty
24 products?"
FINCUN-MANCINI
The Coot Reoorten
601GOCKWSX AVS. SUITS 505 CISVSLANQ OHO 4474 (216)696-2272
. -> wcz
- 3 xs: sc
.i
1 Mortars, refractories, plastic materials, ar.c
2 gur.r.ite granite mixes.
3 When you use the term gunr.ite mix, are you
4 referring to any material that's used for a
5 refractory purpose that's shot through a gun or
6 are you using it in a more narrow purpose?
7 I am asking you what do you mean, by using the
S term gur.r.ite mix?
9A
It's just the material that's shot through a gun. '
j
10 Q 11
So you're not limiting it to any subset of i
materials. You're just using the term gur.r.ite mix i
12 as a term to apply to something that is shot
13 ">
M
through a gun and shot for refractory purposes. The reason I asked that is because this
15 is a product that some companies make that uses a
16 tar base that's gur.nite sold under the name of
17 gur.r.ite and you're not using the term in tha" same ;
18
sense; you're using it to mean any refractory
;
19 product shot through a gun?
j
20 What was the time period of the Dover, 'j i
i
21- Ohio, plant?
j
22 A 23 24
That was closed down. about 1965. Maybe it that time.
I'll have to guess now, was '66. And it was sold
;
i at :
|
FINCUN-MANCINI
The Coot Reporter*
601ROCXWSU AVS. SUITE 505 OEVELANQ OHO UU (216)496-2272
Q Was it sold to some other refractory company?
2A 3
No. It was closed as ar. operating unit and the land was sold off.
4Q
Had that Dover. Ohio plant been manufacturing
5 refractory parts for at least 20 years before it
6 was closed down? 7 A Yes.
8 Q What was the basic product line made at the Dover,
9 Ohio plant?
10 A 11 Q 12 13 A 14 Q
Fire brick. Did the Dover plant also make some specialty materials? Not that many of them. Okay. So, did Dover, Ohio just make brick?
15 A Just brick. 16 Q What time period was the Curwensvi1le,
17 Pennsylvania plant in operation?
18 A It's still in operation on a limited basis. And
19 whether or not -- how it started, that's long
20 before I went in.
21 Q What was the basic product line of that plant? 22 A Fire, plain.
23 Q Did it just make bricks, or other things?
24 A Brick and specialties.
fll.'
FINCUN-MANCINI
The Cou^ Reporters
401GOCXWSU AVS. SUTE 505 CLEVclANQ ChO 44IU (216)696-2272
1Q 2 3A
4 5
6Q 7 8A 9Q 10 A 11 Q 12 A 13 Q
14 A 15
16 Q
17 A 18 19 20 A 21 A 22 Q 23 A
24 Q
What was the tine period of the Mount Union Pennsylvania, plant? It was in operation when I joined the corr.par. Again, I don't know when it started up, and it is still in Pennsylvania. Was it in operation at least a decade or two before 1961? Yes. What was its product line? Fire brick, Silica brick. Did they also make specialties? Only they had two brands of cements, I think What was the time period of this? They started in operation again before I joi: North American, and they are still in operat Did that plant begin long before 1961? No. I don't think it was long before 1961. don't know, but it was relatively new, as I understand it. What was its product line? Basic brick, using the technical refractory ter Did that plant make any specialty products? Very few. What was the time period of the Farber, Missour
FINCUN-MANCINI
The Court Reporter
601SOCKWEU Ave SUITE 505 CLEVELAND OHO 441U (76)696-2272
plane? A Again, that was ir. operation before I started
it's still in operation. Q What was its product line? A That plant manufactured products that would.-.1
shipped to Western Pennsylvania. Q Was the Farber plant in existence long before
1961? A Yes. As to the White Cloud, Michigan, this i
new thing for any of us -- 10 years c'.d, and looking -- I am looking now -- basic. Q Havethey made specialties? A No. Q So, they are just brick, to the best of your knowledge? A They are just brick. Q The -- when did the West Coast plants that yc mentioned come into part of the operation? A Again, I would have to guess. I don't knew, either. Well, he has called you three or fou times this week and he is in Indian Hill, California. The Williams Grove clay products plant was acquired sometime around 1961, or It was later than that.
FINCUN-MANCINI
The Court Reporters (SOI ROCKWSl AVS Suits 505 dEVSLANQ oho -14iu
(216) 696*2272
Do you know, was it shut down or sold?
It was shut down. I don't know if they ever sold
the property.
And, before 1961. there was a plant in Queens Run, ;
California?
Yes. We had a plant in Ashland.
A plant in Ashland?
Ashland, Kentucky.
When did that plant become part of the concoction?
I don't know. what's on it?
') !
I don't know.
So, the Ashland, Kentucky plant would have been
stopped sometime around the early 1960's. So.
were there any other manufacturing plants that you
can think of, other than what we have talked
about?
The only one I can think of is the one on a
limited basis in Canada; Caladon, Ontario. Canada.
Did- NARCO or any of its parent manufacturing
plants or the different manufacturing plants that !
you've identified -- were any of those plants
organized plants as far as organized by the
steelworkers?
FINCUN-MANCINI
The Court Reoorten
601 POCKW&l AV5. SUITS 505 OSV&IANQ OHO 44114
(216) 696*2272
1 A I don't know.
2 q Were any of them steelworker plants?
3 A Yes. I know there are at least one or two of
4 them.
5 Q Do you know if any other union, other than the 6 steelworkers ever represented any of them?
7 A NO.
3 Q So, the steelworkers, is the only one.
9 Other than the manufacturing plants, I'm assumi
to that NARCO had various -- is the purchasing
11 department located in Cleveland? 12 A Yes. 13 Q And has it been in Cleveland ever since you 14 started with the company?
IS A Yes. 16 Q Who is up in Pennsylvania? 17 A A fellow by the name of Joe Lewis.
13 Q What is his title?
19 A I believe it's purchasing manager.
20 Q How long has he
been with the company?
21 A I have to guess. I am not sure, maybe 15 years
22 better.
23 Q Does the billings department maintain the accou
24 payables records, or do you have a separate
FINCUN-MANCINI
The Coti? Reporters
401 Rocxwai Avi xite 505 aev&ANQ oho aau (214)496-2272
CSmbv. 'E9.*,53 'S.vscaii-;* qv xscasi
accounts payables? We have a separate accounts payables. The billing department sends cut the bill, and the accounts payables makes sure that this, essentially gets paid? (Shakes head.) Accounts payable pays the bills which are billed. So, I'm sorry -- the billing department sends out the bills to the customers. The accounts payables makes sure that when somebody who works at NARCO that-- that's who we need to go see; Kor.opsky. How long had he been the top manager in that department? He is going to move? Yes. I would say only 10 years. With respect to the records that are kept or. the green sheet, the green sheet -- has any document of any kind ever been prepared with respect to ail the customers that you have or all the records that you have on them? No. So, you can't pull a folder out that will deduct those that are via Pennsylvania. How many filing cabinets of records are covered? To what extent?
TheCovrr Recovers 60i Rocxweu Ave. suits sos cuv&anq oho <wtu
(216)696-2272
c2*-'wTe9-AiseD SnSC5'* C 9* XSC^'SE
q Earlier, you mentioned an individual that was ir.
inside sales and dealt with the distributors of
1 3 ' Airco Products?
4 A Ves.
i
5 Q To what extent has NARCO sold it's products 6 through distributors as opposed to selling it 7 directly to customers?
! i j
8 A That'sa very minor part of our business. 9 Q Can you give me some estimate as to volume of
j ii
j
10
sales, 10 percent of sales or 5 percentage of
Jj
1
1! sales?
| l
12 A I would say at the present it is about probably 4 !
13 percent of sales, or less.
!
M Q Four percent, now?
15
MR. HEINTZMAN:
He said 4 percent
16 when he left.
;
17 A I have to say that when I started with the company j i
18 it had to be less than that. And it probably has j
j19 gone up since then. Really, on a per annum basis
20 it" Is hard for me to estimate.
21 Q In any case for all purposes that you're aware of.
22 distributors probably have sold less than 523 percent of the total amount of sales? 24 A Yes.
I I
FINCUN'MANCINI
The Court Reoorren
601 ROCKW8.1 AVS. SUITS 505 CL5VSUU>C OHO 44TU (216)696-2272
Q Were there any distributers in NARCO products located in the west Pennsylvania area?
A There were a couple. The only one tnat I ' .7. reall aware of is the HR Curry Company.
Q And where are they located? A In the Pittsburgh area, but I don't knew the exact
time. Q For what tine period, roughly, has HR Curry
distributed your products? A I would say about '65 or '66; somewhere around
there. Q So, when NARCO sold something to HR Curry Company,
generally, it would have been shipped, and you would have had no knowledge as to whether -- did HR Curry have the exclusive rights to sell Airco products? A Not as far as I am aware. Q So, to the best of your knowledge H.R. Curry Company can sell whatever they sold.
MR. HEINTZMAN: Objection. That's not what he said. Q Were there any limitations in your department? A The limitations that would have been placed would have been that during the negotiations, and it
riNCUN-MANCINI
The Cotrr Reoorten (501B0CKW6U. AVS. SUITS 505 C.V;LANQ OHO 44M
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would have been expressed.
Was US Steel considered a z.ajcr consumer si NARCO?
HR Curry would not let me sell, correct. You
always have your input, and they will make a whole
drink of nothing, but then give it to you.
Would this understanding or limitation be put in
writing., as part of some distributor agreement?
I have no idea.
You don't know whether it would have been -Generally, it would be put in a written agreement
i
or have just been a gentleman's understanding.
Were there any other distributors of NARCO
products in western Pennsylvania area?
Not that I know of.
What about the state of West Virginia?
None of West Virginia, sir.
Eastern, Ohio, Steubenville, -- no, the only
one -- there is nothing in that area at ail.
Were there any distributors of NARCO products that
weren't located in West Pennsylvania. I am saying the same question with respect to --
i
Allen Refractories.
So, Allen Refractories Company, in Columbus, Chic
was a distributor of NARCO Products. And, if they :
riNCUN'MANCINI
The Coat Reoorten
dCi ROCKWS.L ave. SUTS SOS ClSVsLANQ C0 44m (216)696-2272
would have had the opportunity to sell, for
instance, in eastern Ohio, or. West Virginia
MR. HEINTZMAN:
I an going to object
to this.
But in any case. Alien Refractories nay have had
products. Do you remember what time period was
Alien Refractories?
I would have to say from probably about '66 or
'67. Was there a situation where Allen Refractories
'
wanted to use -Allen wanted to be a line. So, NARCO would not have any knowledge of alternate destination as the products would be shipped? What organizational unit of NARCO would
be most familiar with the composition of its
articles? Is that located in Curwer.svi. e, Pennsylvania?
No. It's located at State College-
j
Has State College been at its location for a good |
number of years?
j
It's relatively recent. Prior to that time it was !
located at Curwer.sville Hospital.
j
For how long has a medical school been out --
FINCUN'MANCINI
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j
The Court Reooftem --------------- 60! ROCKWELL AV6. SUITE SOS CLEVELAND 0*0
(256)696-^7
----------1
' S 3 Z i-
'' as;-s 3i
Sever, years.
2 Q Who was the head of the technical center? 3 A Vow, it would be Dr. Dandy.
4Q
v-.at is Dr. Lar.dy's first name?
5 A Rich.
;
6q
7
Kow long has he been involved in this type of work?
8A
Predates me so, I would say it's .-- I don't knew.
9 Q Would he be in a position to know the composition i
i
10 of products made since 1961?
;
11 A Yes.
|
12 Q
What is his degree in?
13 A Ceramics Engineering.
14 Q Is there anyone else at the technical center that
15 is a long-term employee?
16 A
I know he is a long termer, but I can't tell you
17 how long he .has been there. Ke has been there a ;
18 long time.
19 Q What is his technical background?
20 A
I really don't know.
! \
21 Q Do you have any knowledge of from whom NARCO may 22 have obtained asbestos fibers over the years?
23 A No, I don't.
i
24 Q You're not aware of any business relationship with
\
FINCUN-MANCINI
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The Reoortem
----------------601GOCKWRL avE. Suite 505 CISvelanq oho 44R4 (216)696-2272
!
CC*-UTE3-*, C- *ss;s 3' -
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any asbestos company that you know ever ir. terns
of supplying raw materials?
A No. Q Did NARCO ever sellany type ofrefractory product
that was, itself, so clear?
A Yes, we have.
Q What types of products would this have
encompassed?
A We had a insulation product. It had great
circulation, as well as insulation.
__
Q I want to ask you some questions about the resale
but also any insulation. Okay. 31ock insulation; let's see, that was called NARCO block insulation.
A That was not made by NARCO.
Q ^ Who made that material?
A Crane Manufacturing.
Q To your knowledge, what time period did NARCO sell
this block insulation material? To your
knowledge, what portion of that time period was
the block insulation supplied by Sagle-Picher?
A I don* t know.
A' .
Q And before that time period, the only supplier of
that block insulation would have been
Eagle-Picher?
FINCUN-MANCINI
The Cot/t Rtocners
60' ROOCW6U. AVS. SUT? 505 OSVSlANQ OHO
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12 13 li A 15 16 Q 17 18 19 20 A 21 22 23 Q 24
That's right.
Was the material -- strike that. Was this bloc*
insulation shipped by agie-?icher or Crane to
NARCO's customers, or did the block insulation come to NARCO for packaging in NARCO box?
I
We -- it was shipped. It was shipped by
Eagle-Picher under our name direct or to the
customer direct or sometimes to Kernsville, by
warehousing. '
Would sales of the NARCO box, etc, have an order
number or order form like the other sales that
we've talked about, or would they treat it
| I ] I
I
differently in anyway?
:
No. They would generally be on the same as this
one here.
Other than the NARCO block insulation, to your knowledge did NARCO ever sell any refractory or
i ;
insulation material to customers that was made by somebody else? Yes. There would be times when we would be short of bricks and we would go to a competitor to see
;
i
j
J
I j
if he could help me.
Were there particular competitors that would help you out on an as-needed basis? Or did you simply j
i
FINCUN-MANCINI
The Court Reporters
j
----------------605 ROCKWSU. AV= SUITS 505 CLSvSLANQ OHO 44IU ----------------------------------------' (256)696-2272
SS*-1, "ES-A.S EC 'b*ss: *- :n
s;s ei
] shop around until you found one that could do it"1
MR. KEINTZMAN: Do you remember the .-.ar.es
of any of the companies that supplied materials to
NARCO on occasion?
5 A Yes .
6 Q What names can you remember? 7 A Louisville, Welisville, AP Green-- really that's
S about all I can remember, specifically.
9 Q Was this just as to particular types of bricks or 10 did it sometimes apply to other materials?
t r A .Vo, only brick.
12 Q
You didn't, for example, sell other peoples'
13 casts?
U A No, X never bought a specialty from anyone.
15 Q Other than the NARCO block insulation and the
16 sales of brick on an as-needed basis from someone
17 else, did NARCO sell any other types of products
18 to customers that may have been made by somebody
19 else? 20 A Metal hanger and hangers. Insulated fire brick.
21 Q Limiting myself to the insulating fire brick, 22 under what circumstances would NARCO sell someone
23 else's insulating fire brick? 24 A To accommodate the customer, when he wants to
J FINCUN-MANCINI
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601ROCKWELL AVs. SUITE 505 CLEVELAND OMQ ca?<a (216)696-2272
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23 A 24
place an order for all cf his needs, sometimes that night include insulating the fire brick, w our knowledge, and have it shipped to then. Did NARCO not make insulating fire bricks? We have a type, but it's not radient, no. From whom did NARCO purchase insulating fire br for retail to other customers? We've placed it through -In a situation where NARCO purchased insulating fire brick from someone else for sale to a customer, would that type of situation be reflected on the customary order form that we discussed earlier? Yes, it would. Would it be an ondocatopm on the order form tr.a this was someone else's insulating fire brick? It could. It may not. If it wasn't a NARCO manufactured product, how would it be recorded on the order form? When it comes to material and description, as i is above shown, a brand called NA -- something. And what would that something -- It would be North American -- 23 or 14 or something of that nature.
FINCUN-MANCINI
The Court Reoortem
601RCCXWSU. Av. SUITE 505 OEV=lANQ OHO 44!U (216)496-2272
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23 A 24
Would the NA-something "ear. that it was a product
not made by North American? Yeah. Really, that's the only time it was ever
used.
|
So, all NARCO products had a name of some kind and : |
If it's reordered on an order form as NA-scme
number that signifies that it is not a NARCO
manufacturing product?
That's correct. But, there are two products that !
don't fall into that category NA-32 and na-33, and,
i
those are NARCO manufactured, and those are the
only ones.
\
Was there a particular code that was used for the
insulating fire brick made by somebody else?
No, just that.
So, it could be NA- any of a variety of numbers?
That's correct.
Is there any way to take that and figure out whose
material it was?
No. What would decide what number was used after the
!i
NA-?
The insulating fire brick -- that would give you
about 16. So, NA-16 would be a 61 degree
> FINCUN-MANCINI
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insulating brick. The only way that car. be
determined is if somebcdy made a notation of it.
And other manufacture's insulating fiberglass was warehoused somewhere to be shipped out when
ordered to be ready for one.
On the order form, in one of these situations, would it indicate that insulated fire brick was
being purchased, or would it just say 5000 NA-15,
and not say insulating fire brick?
I
It would say insulating fire brick, but that would ;
be about the extent of it.
Other than what we've talked about so far. were
there any other refractory or insulating materials
sold by NARCO that were made by somebody else?
The only one I can recall is, I said NARCO block
insulation. There was a cement that was used wirn ;
the NARCO block insulation, and I can't recall
what that name was right now. It was sold very
rarely. We preferred selling our own. Was this an insulating cement?
It would have been. I really don't know.
like I
| I
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said, there is very little. We preferred using
j
our own cement. From whom did NARCO get this cement?
j I i
FINCUN-MANCINI
The Cout Reoorrett
601RQCKWSU AV SURE SOS ClSVElANQ OMO 441U (216)696-2272
A X don't know, I believe it was early.
Q Would this be t the same time that this was so
by NARCO?
A Yes, but we kept stock of it.
Q Some were manufactured for people for use in
conjunction. What were the names of these sets
A Narcoset.
Q Is that the product sold for that purpose, or a
there others used?
A That's -- it is only one I ever saw.
Q Was Narcoset sold as an insulating cement?
A How was it referred to?
Q Well, was NARCO set sold for purposes other tha
simply being used in conjunction with the block
insulation?
A
Yeah. For
laying brick.
Q Are you aware of whether or not NARCO set ever
contained asbestos at any time?
A I am not.
Q Are you aware of whether or not the block ever
contained asbestos at any time?
A No. Q Are there anyother refractory orinsulating
materials thatNARCO sold that may have been
flNCUN-MANCINI
The Cocrr Reporter
<501 Rocxwai. avs. sure 50s clsvelanq oho <utu (2*) 496-2272
SCMPi,,-a-AiCE3 *3iNS:s s- C -
scs se
made by someone else?
A None that I can think of.
3 X Did SkRCO ever sell any spray material, gumite 4 spray material that was made by someone else?
5 A No.
6 Q Okay. So, all the gur.r.ite sprays that NARCO sold 7 during your tenure, to the best cf your knowledge,
8 were made by NARCO. ' Did NARCO manufacture any
9 product that was sold to another manufacturer of
10 refractory or insulation materials for sale to
11 their customers.
12 A
Only on a reciprocal basis, where people were
13 j
M
covered with brick supply, and we could help them out. That would be the only one.
15 Q So, these are sort of spot sales on an emergency '6 basis? 17 A Right.
18 Q To the best of your knowledge, NARCO never made a 19 particular product or products that other
20 manufacturers wanted to sell, such that it was
21 regularly supplied to that other manufacturer for
22 sale and rebranded with that other manufacturer's
23 name.
24 A
I*m sorry?
FINCUN-MANCINI
TheCOLrt Reoonen
601&OOCWSLL AV5. SLUE 505 CLEVELAND OHO 4404 (216)496.2272
* *SC* 3
1 Q Do you know if NARCO ever entered into any kind of
2 a licensing agreement with another manufacturer
3 whereby another manufacturer was allowed to
4 license and sell a --
. 5 A I don't think. Yes, I do, but that was an Indian 6 doctor. We got into it with a licensee in India, 7 but, it was strictly for brick.
8 Q So, NARCO manufactured for sale to a concern in
9 the Country of India?
10 A Yes.
11 Q Was it a brick product?
12 A
It was a pain in the ass, when I came home.
I
13 (Discussion off the record.) 14 Q Did NARCO ever have an occupational medicine
15 director, either full time or part time, 16 consultant basis, that you know of? 17 A I really don't know.
;
18 Q Are you aware of any controversy that ever arose
i
19 within the company about a NARCO product possibly |
i
20
containing asbestos, and by that I mean before
j
21 1985?
|
22 A I am not aware of any.
I
23
Q
Are you aware of whether NARCO was ever sued by
j
24 someone claiming they were exposed to ar. asbestos ! 1
FINCUN-MANCINI
j
The Court Reoorteo
|
-------------------------------- 60i nocKwai avs suits sos cusvelanq chc 4404-----------------------------------------'
(216)6?6-2Z7
CCm0`-t3-a>C3 *a*.s:9'S
tscaae
product before the litigation I am involved in.
beginning in 1985?
A So . Q That's not something that youhave anyknowledge.
hearsay, or otherwise. During the tenure that you
had with the sales department, have there ever
been any inquiries by customers about the possible
use of asbestos in NARCO products?
A None that I am aware of.
Q Do you know if any time duringyour tenure the
sales department or any of the employees in the
sales department ever provided any information to
people in the store about asbestos being in your
department. Do you know if NARCO has ever been
involved in any research activities of any kind
involving either asbestos or silicon?
A No.
<j So, youdon't know if hewas everinvolved with
dating employees relating to or having to go to
the doctor. Have you ever seen any documents as
an employee of NARCO in any way dealing with
asbestos ans health?
A NO.
Q
Or in any way dealing withasbestos?
Have you
FINCUN-MANCINI
The Court Reporters
60' ROCKWELL AVS. SUTE 5C5 OSVSlANQ CWO 44IU (2T6)66-2272
1
i
3 4 5 6 7 S 9 10 11 12 13 J 14 15 16 17 13 19
20 21 22
23 24
s*nS c a - In
XS:3'3C
ever seen any written material of any kind wr.ere
the description containing any kind of warning
information about potential hazards associate witr.
any NARCO products? As part of the marketing did
NARCO prepare a product catalogue that could be
provided to a customer?
General catalogues, yes they did.
Was there a title for this catologue? ''NARCO' Refractories Guide" and the "NARCO
f j
Refractories Handbook" are one in the same.
So, one document was called the "NARCO Refactories '
Guide", and the second was called the "NARCO
,
Refractories Handbook", and these books and
manuals are standing besides me, and who used to
be able to take these things?
Sales General 3rochure indicated these things.
So, what's the difference between the handbook and
the guide? The guide is sort of a little pack that's given out with kits. It just indicates theproducts
j ;
j
that we have available. The handbook is a little more detailed with some things in it, like brick, fireproof. Does your officer have dozens of Refractories
J I
i
[ I ! I
FINCUN-MANCINI
The Coi/t Reoorten
j
j
--------------- 601 ROCKWELL AVE. SUITE 505 CLEVELAND OHO 44TU------------------------------------------ -
(2k>)66-22/2
Guides and Refractories Handbooks that would ha been given to customers over time? Just the more recent ones. We generally pass a of them out, and then reorder. Do you know if you have any guides or handbooks that would have been available for customers in prior years? We would not. All right. And, who printed this literature? Some were printed by an outside printing ccmpan Was that done by somebody in the city in Cleveland? I don't know. Who would know who the printer was? E.L. Starky. He made the arrangements for that Is he in the Cleveland area? Yes. How long has he been in the Cleveland office? I would say, he started the year before or the year after I did, one or the other. So, it is either '60 or -- '60. What's his first name? Elman.
The Com Reoonefs 40! 3CCKWSU. AV: SUTE SOS CtEVclANQ 0*0
0*) 696-2271
SNS;a a- z
'' s: =
1 And what all
2 He's right upstairs here or. the 10th floor. Ho is
the services director, and I an not sure if he
still holds that title.
5Q
Did NARCO prepare or offer promotional literature
6 with respect to its literature other than the
7 Guide and the Handbook?
8A
You mean literature?
9q
10
Literature that would be given to customers as to particular products or --
] I A There would be some specialty products that would
12 have been.
) 13 q
Would Mr. Starky also be familiar with who printed
14 up those brochures?
15 A
Yes.
16 q
Were all NARCO products included in the guide and
17 the handbook?
18 A
I don't think all were included. I think it was
19 just a general listing of times of products and
20 kinds of products with prices.
21 Q If a customer wanted information about a 22 particular product, wanted technical data as to
23 what their product was, then, a sheet or a
24 brochure of some kind that was developed far
J FINCUN-MANCINI 7!*.e Court Recovers
601 RCCKW&1 AV. SUITE 505 CLEVELAND00 44r-i (Z16) 696-2272
specific products that would be sent to a customer? We would have had a general brochure that w send, as I indicated today. If a specific product -- if they need a test on a specifi product that could be done through our tech services department. A sheet of information was regularly kept t for such matters? That's correct. So, for purposes of knowing the basic liter that NARCO sent out to its customers, the Refractories Guide and the Refractories Kan there were brochures on specialties? Let me see, anything; displays, reprints of What magazines did NARCO regularly advertis I don't know. What department in the headquarters deals w NARCO's insurance? Entire finance department. Finance. So, the finance department is responsible for getting liability insurance dealing with the insurance carriers for the people, like me. Why me, I am asking this
The Cotrt Reporter 60130CKWSJ. AVI suite 505 CLEVELAND OHO AAf-S
<216)696-2272
C3M0U~E-A.ses 'bans:*'#' c*. ' xsca at
some people have loss casualty ir.surar.ee, ar.d sere
people want to know who is respor.sibi le.
3 That, I don't know.
4Q
Who heads up the finance department?
5 A The Vice President of it would be Richard
6 Ainsworth, presently here.
7 Q Did NARCO ever employ individuals who would go ir.
8 to a customers steel mill for the purpose of
9 applying or installing a NARCO product.
j j
10 A Yes. 11 Q What were these people called? 12 A They were called servicemen.
!
!
i
j
13 Q Explain the circumstances under which a serviceman 14 would be involved in installing a NARCO product''
15 A As far as the circumstances?
16 Q If that's not a sign on your arrow? 17 A Yes, it's not mine to tell you how they serve
18 everyone at any time. A serviceman in a sales
!
!9 office is made available to the individual outside
20 salesperson.
21 Q Would the serviceman be kind of a technical person
22 that could go in to troubleshoot a problem, or was ! 1
f
23
the serviceman the one that was there for the
!
24 purpose of installing it and give them the yellow j i
jJ
FINCUN-MANCINI
The Coot Reoorteo
j
-------------- 601 ROCKWELL AV SUITE 505 0V&ANQ CHO (2k) 606-2272
--------------------------------- ------ -
CC**aCEC sass:5z
v *SZ3 8
card?
2; A i
3i
4Q
If you are asking me if he is technically competent, only on the brick layer basis. Okay. But, the servicemen were assigned too
5 particular sales offices?
6 A Yes.
7Q 8A
Were they considered a portion of the sales for Yes; hourly basis.
9Q
Have you ever been active in any trade associat
10 dealing with any asbestos or silicon related
!! question?
12 A No.
13 Q Do you know if anybody has been? Is there a
J 14
particular person in the central offic that wcu
!S come to your mind as that's the person to go to 16 your complaint potential hazards of a health
17 problem?
18 A No.
19 Q
So, if a customer went to a NARCO salesperson a
20 said, "Hey, I'm worried about the potential hea
21 hazards of this NARCO product," and that
22 salesperson called you in the sales office ar.d
23 says, "Who do I get get?" Who would do this?
24 would ask for the health and safety to the prod
FINCUN-MANCINI
The Coot Reporters
601 ROCKWELL AVS. SUTE 505 CLSVsLANQ OHO 44TU (216) 696-2272
CC
C -- "a-nsC*
-- * <s:sg
i would be forwarded to the -- Is there a person ;r.
2 this respect that I would get?
2A
I would really tell them to contact Sick C,ar.dy.
4 and, if necessary, have return them to whoever was
5 there.
6 (Duscussion off the record.)
7Q
Have you ever had a deposition taken before, like
3 this, in connection with any litigation?
9 A No.
10 Q Are you aware of anybody in this room? I will 11 pose it like that.
12 A No, not that I am aware of.
;
13 Q NARCO has manufactured over the years a number of
i M
products that are listed in the refractories
15 directories as castables insulating aggregates. *y 16 question is can you describe what a castable, 17 insulating aggregate is?
18 A
I have no idea .what it is.
19 q 20 A
For what purposes would Narcocrete be used? It's a castable. It is used for lining units of
i |
21 22 Q 23
some type. Is it sometimes used as a spray material or is it always applied in some temporary type fashion?
j i
j
24
MR. HEINTZMAN:
Why don't you -- I'm j
J FINCUN-MANCINI
The Court Reporters
401 ROCKWELL AVS SLSTE 505 OEVELANQ OhO AXBA (216) 496-2272
CCMPuTE-A,CE '#iNS;s
<s:s 9c
not sure those two are mutually exclusive.
Q Is Narcocrete ever applied in a spray? A I have never heard it being use in a gun.
Q Is it a dry material that's mixed with water for applications? Same question with regard to
Nargolite.
A Again, I've never heard of it being applied by
gun. And, yes, it's mixed with water.
Q Same questions with respect to arrow cast?
'
A As far as I know, that's cast aluminum, but I've J
never heard of arrow cast going through a gur.?
I never ever heard of this, and yes, it is dry and '
mixed with water.
Thank you very, very much, Mr. Spahiinger.
MR. JENNINGS:
Just for the re
this is an establishing of 9 or 10 inches of
documents that we've referred to and presumably,
you're going to transmit them informally, and we
can work out an index. From looking at them
during the breaks, there are a lot of pages that
are to some extent illegible because of the
quality of the original document. I assume that
we can work out some way to, if need be, somebody
can refer to the copies and see if they are as
The Couf Recovers
601 POCKWai AVS. sure 505 C.VcUVN0 0*0 (7-6) 6*6.222
1 accurate as the originals.
2
MR. HEINTZMAN:
If a particular or.e
3 or several are poor we can pull the origin
4 sheet.
5
MR. JENNINGS:
Once we get a product
6 list that will simplify things, because a lot of
7 the names will be obvious.
8 (Deposition concluded at 4:35 p.m.)
9 10
M 12
13 14
15 16 17 18 19 20 21
22
23 24
FINCUN-MANCINI
The Court fteoorte*
601POCAVFJ. AVS. SUT 505 CtSVELANO OHO 447.4 (216)696-2272
'Pans:#'9* C * ' <s:#as
1 State of Ohio,
} SS: CERTIFICATE
2
County of Cuyahoga.
)
3 I, Carol Dodrill, Notary Public in
4 and for the State of Ohio, duly commissioned and 5 qualified, do hereby certify that the within named
| I
i
6 witness, George Spahlinger, was by me first duly sworn
7 to testify the truth, the whole truth, and nothing but
8 the truth in the cause aforesaid; that the testimony
9 then given by him was by me reduced to 10 stenotypy/computer in the presence of said witness,
j
I? afterward transcribed, and'that the foregoing is a true j
.2 and correct transcript of the testimony so giver, by 13 him as aforesaid.
| 1
14 I do further certify that this deposition was
IS taken at the time and place in the foregoing caption 16 specified, and was completed without adjournment. 17 I do further certify that I am not a relative, 18 counsel, or attorney of either party, or otherwise 19 interested in the event of this action. 20 IN WITNESS WHEREOF, I have hereunto set my hand
21 and affixed my seal of office at Cleveland, Ohio, or.
22
this //rtX. day of
^ ^ ^ . 1988.
23
carol oodriii. Notary Public 24 in and for the State of Ohio.
My commission expires 3-17-92.
TheCocrt Reporters
601SOCKWSU. AVt SUITE 505 CLEVELANQ OHO 44T14 (?6) 6*6-2272
IN RE:
AS8ESTC3IS ANO SILICOSIS PRODUCT LXA8XLITY CASES
CIVIL OIVISICN
Administrative Docket No. 1987-71
NOTICE OF DEPOSITION
TO: ALL COUNSEL OP RECORD
PLEASE TAKE NOTICE that Plaintiffs shall take the deposition purser to the Pennsylvania Rules of Civil Procedure of MR. GEORGE N. SPAHLINGER or WEDNESDAY, JANUARY 27, 1988, commencing at 10:00 a.m., and continuing from cay to day until completed, to take place at the corporate offices of nortn American Refractories Company, located at 900 Hanna Building, East l-ith and Euclid Avenue, Cleveland, Ohio *41T5. (216) 621-5200.
Mr, Spahlinger is an official of NARCO and will be questioned concerning sales of various products .from NARCO to Johnstown, as well as otn.ematters relevant to this litigation. Mr. Spahlinger is requested to produce and have with him for purposes of the deposition records previously requested in Plaintiffs' Request for Production of Documents and Interrogatory Answers relating to sales records so that the records can be discussed and attached as
HtNCOSON i G0103ERG, P.C.
Robert l. Jennynjgs. (Jr.. Esq. 1030 Fifth Aveijy'e v Pittsburgh. PA 55219 (412) 471-3980 and Gary L. Costlow, Esquire Third Floor, Central Par* Ccrrcr.s 430 Main Street Johnstown, PA 15901 (814) 539-5884
i
1
Oil AT* Cr b:`V.
hereby certify that true and correct copies of the foraocirg
OF OPPOSITION were forwarded to all counsel of record by firs: class j.s.
mail, postage prepaid, on this
dav of January. 1988.
Robert L. Jennvngs, dr;
,U
**
3
NORTH AMERICAN REFRACTORIES CO. CLEVELAND 14,"OHIO
NORTH AM.jCAN REFRACTORIES CO.
' DIVISION OF SLTRA CORPORATION CLEVELAND. OHIO 44114
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