Document pMKXpVRLN4v1J4DBgQ9gNb9w
FILE NAME Kubota KUB
DATE 2010
DOC KUB031
DOCUMENT DESCRIPTION Legal - Defendant Kubota's Responses to Plaintiffs Requests for Admission Set One
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Thomas C. Corless State Bar No. 100614 Aide C. Ontiveros State Bar No. 169629 2 WILSON ELSER MOSKOWITZ
EDELMAN & DICKER LLP
3 555 S. Flower Street Suite 2900 Los Angeles California 90071
4 Telephone 213 443-5100 Facsimile 213 443-5101 Attorneys for Defendant
KUBOTA CORPORATION
6
SUPERIOR COURT FOR THE STATE OF CALIFORNIA
FOR THE COUNTY OF LOS ANGELES - CENTRAL DISTRICT
RHODA EVANS and BOBBY EVANS
Plaintiffs
) Unlimited Civil Case ) ) Case No BC 418867
Judge Conrad R. Aragon Dept. 49
) ) W. CHESTERTON COMPANY al ) Defendants ) ) )
DEFENDANT KUBOTA CORPORATION'S RESPONSES TO
PLAINTIFFS REQUESTS FOR ADMISSION SET ONE
Action Filed July 29 2009
PROPOUNDING PARTIES
RHODA EVANS AND BOBBY EVANS
RESPONDING PARTY
KUBOTA CORPORATION
SET NO
ONE
Defendant KUBOTA CORPORATION Defendant or KUBOTA hereby responds to Plaintiffs Rhoda Evans and Bobby Evans Plaintiffs Request for Admissions Set No. 1 as
follows
PRELIMINARY STATEMENT
25
These responses are made solely for the purpose of and in relation to this action Each
26 answer is given subject to all appropriate objections including but not limited to objections
27 concerning competency relevancy materiality propriety and admissibility which would require
28 the exclusion of any statement contained herein where made by a witness present and testifying
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in court All such objections and grounds therefore are reserved and may be interposed at the
2 time of trial
3
It should be noted that this responding party has not fully completed its investigation of
4 the facts relating to this case has not yet fully completed its discovery in this matter and has not
5 completed its preparation for trial All of the answers contained herein are based only upon such
6 information and documents which are presently available to and specifically known to this
7 responding party and disclose only those contentions which presently occur to such responding 8 party It is anticipated that further discovery independent investigation legal research and
analysis will supply additional facts add meaning to the known facts as well as establish entirely new factual conclusions and legal contentions all of which may lead to substantial
additions to changes in and variations from the contentions herein set forth As Responding Party ceased the sale of asbestos cement pipe in 1975 and during the
ensuing 35 years potentially knowledgeable witnesses have left the employ of the asbestos
cement pipe division of Kubota Corporation or have become deceased and through standard company record destruction policies potentially responsive documents have been destroyed it
should be noted that Responding Party lacks sufficient information and belief to respond to many
of the requests for admissions These responses are made on behalf of Kubota Corporation only with regard to information existing during the time asbestos cement pipe was exported to the
United States
The following responses are given without prejudice to Kubota Corporation's right to produce evidence of any subsequently discovered facts which this responding party may later recall Kubota Corporation accordingly reserves the right to change any and all answers herein as additional facts are ascertained analyses are made legal research is completed and
contentions are made
The answers contained herein are made in a good faith effort to supply as much factual information and as much specification of legal contentions as is presently known but should in
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no way be to the prejudice of Kubota Corporation in relation to further discovery research or any answers to herein no admission of any nature whatsoever is to be implied or inferred The fact that any request for admission herein has been partially answered should not be taken as an
admission to the entire request or that such answer constitutes evidence of any facts thus set
forth or assumed All answers must be construed as given on the basis of present recollection
6 Any request for admission deemed as continuing is objected to as oppressive over burdensome 7 improper and not in compliance with Code of Civil Procedure Sections 2033 et seq and will
8 not be regarded as continuing in nature
9
RESPONSES PLAINTIFFS REQUESTS FOR ADMISSION
10 REQUEST FOR ADMISSION NO 1
11
Admit that on approximately June 29 2005 you made an announcement regarding the
12
occurrence of many occupational victims of asbestos as well as the victims of asbestos dust from
13
environmental exposure around the Kanzaki plant
14
RESPONSE REQUEST FOR ADMISSION NO 1
15
16
Objection This request is vague and ambiguous with regard to the terms many
17 occupational victims of asbestos and victims of asbestos dust is overly broad irrelevant and
18 is not reasonably calculated to lead to the discovery of admissible evidence The request is
19
propounded to oppress and harass KUBOTA
20
REQUEST FOR ADMISSION NO 2
21
Admit that approximately 75 former workers of the Kanzaki Plant developed
22
mesothelioma as a result of their exposure to the plant's containing products and have
23
24 died as a result of this fatal disease
25 RESPONSE REQUEST FOR ADMISSION NO 2
26
Objection This request is vague and ambiguous with regard to the terms former
27
workers of the Kansaki Plant and containing products is overly broad irrelevant and
28
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is not reasonably calculated to lead to the discovery of admissible evidence The request is
propounded merely to oppress and harass KUBOTA In addition the request and its
3 accompanying Form Interrogatory No. 17.1 calls for information that invades the privacy 4
privilege of third parties and their familics
5 REQUEST FOR ADMISSION NO 3
6 7 Admit that you have compensated the surviving families of deceased workers of the
8 Kanzaki Plant who developed mesothelioma as a result of their exposure to the plant's asbestos-
9 containing products
10 RESPONSE REQUEST FOR ADMISSION NO 3
11
Objection This request is vague and ambiguous with regard to the terms surviving
12
families deccased workers of the Kanzaki Plant and containing products is overly
13
broad irrelevant and is not reasonably calculated to lead to the discovery of admissible evidence
14
15 The request is propounded merely to oppress and harass KUBOTA In addition the request and
16 its accompanying Form Interrogatory No. 17.1 calls for information that invades the privacy
17 privilege of third parties and their families Should KUBOTA be ordered to respond to this
18
request said order will force KUBOTA to breach its confidentiality contract with third parties
19 REQUEST FOR ADMISSION NO 4
20
Admit that residents of Amagasaki City Japan developed fatal mesothelioma during and
21
after the years the Kanzaki Plant produced containing products as a result of exposure
22
23 to the Kanzaki Plant's containing products
24 RESPONSE REQUEST FOR ADMISSION NO 4
25
Objection This request is vague and ambiguous with regard to the terms residents of
26
Amagasaki City Japan Kanzaki Plant and containing products is overly broad
27
irrelevant and not reasonably calculated to lead to the discovery of admissible evidence The
28
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request is propounded merely to oppress and harass KUBOTA In addition the request and its
accompanying Form Interrogatory No. 17.1 calls for information that invades the privacy
privilege of third parties
4
REQUEST FOR ADMISSION NO 5
5
6
Admit that from 1962 through 1975 approximately 240,000 tons of asbestos was used at the Kanzaki Plant in the production of asbestos water pipes and building material
8 RESPONSE REQUEST FOR ADMISSION NO 5
9
Objection This request is vague and ambiguous with regard to the terms Kanzaki
10
Plant and asbestos water pipes and building material With regard to the years 1962 to
11 1967 prior to Bobby Evans employment with LOS ANGELES DEPARTMENT OF WATER
12
AND POWER this request is overly broad and irrelevant and is not reasonably calculated to lead
13
to the discovery of admissible evidence The request is propounded merely to oppress and harass
14
KUBOTA 15
16
Without waiving these objections Defendant responds as follows
17
Deny
18
REQUEST FOR ADMISSION NO 6
19
Admit that from 1962 through 1975 YOU were informed and had documentation
20
regarding the HAZARDS ASSOCIATED WITH ASBESTOS EXPOSURE and ASBESTOS
21
CONTAINING MATERIAL 22
23 RESPONSE REQUEST FOR ADMISSION NO 6
24
Objection This request is compound with regard to the terms from 1962 to 1975 and
25 and ASBESTOS CONTAINING MATERIAL The request is vague and ambiguous with
26
regard to the term documentation and the term ASBESTOS CONTAINING MATERIAL
27
With regard to the years 1962 to 1967 prior to Bobby Evans employment with LOS
28
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ANGELES DEPARTMENT OF WATER AND POWER this request is overly broad and
irrelevant and is not reasonably calculated to lead to the discovery of admissible evidence The
request is propounded merely to oppress and harass KUBOTA
4
Without waiving these objections Defendant responds as follows
5
6
Through the passage of time and demise of its employees KUBOTA is unable to more
7 completely respond to this interrogatory but shortly before its enactment KUBOTA became
8 aware of a 1960 Japanese Pneumoconiosis Act that addressed pneumoconiosis and asbestosis
9 resulting from long term exposures to asbestos at manufacturing facilities but not lung cancer or
10
mesothelioma and on that basis admits the request KUBOTA believes it first learned of
11
asbestos related cancer and mesothelioma hazards shortly before promulgation of the 1975
12
Japanese Ordinance on Prevention of Hazards Caused by Specific Chemical Substances and on
13
this basis denies the request
14
15 REQUEST FOR ADMISSION NO 7
16
Admit that from 1962 through 1975 precautionary equipment was available to YOU to
17 protect YOUR employees from HAZARDS ASSOCIATED WITH EXPOSURE TO
18 ASBESTOS
19 RESPONSE REQUEST FOR ADMISSION NO 7
20
Objection This request is vague and ambiguous with regard to the term precautionary
21
equipment With regard to the years 1962 to 1967 prior to Bobby Evans employment with
22
23 LOS ANGELES DEPARTMENT OF WATER AND POWER this request is overly broad and
24 irrelevant and is not reasonably calculated to lead to the discovery of admissible evidence The
25 request is propounded merely to oppress and harass KUBOTA
26
Without waiving these objections Defendant responds as follows
27 Admit
28
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REQUEST FOR ADMISSION NO 8
2
Admit that YOU did not offer protective respiratory equipment to employees at all of
3 your asbestos cement pipe manufacturing facilities form 1962 through 1975
RESPONSE REQUEST FOR ADMISSION NO 8
5
Objection This request is vague and ambiguous with regard to the term protective
6 respiratory equipment With regard to the years 1962 to 1967 prior to Bobby Evans
8 employment with LOS ANGELES DEPARTMENT OF WATER AND POWER this request is
9 overly broad and irrelevant and is not reasonably calculated to lead to the discovery of
10 admissible evidence The request is propounded merely to oppress and harass KUBOTA
Without waiving these objections Defendant responds as follows
12
Deny
13
REQUEST FOR ADMISSION NO 9
14
Admit that YOU did not provide consumers of your produced containing
15
16 products any WARNINGS about the HAZARDS RELATED TO ASBESTOS EXPOSURE with
17 the ASBESTOS CONTAINING MATERIAL YOU SOLD at any time from 1962 through 1975
18 RESPONSE REQUEST FOR ADMISSION NO 9
19
Objection This request is vague and ambiguous with regard to the terms consumers
20
asbestos containing products and ASBESTOS CONTAINING MATERIAL With regard to
21
the years 1962 to 1967 prior to Bobby Evans employment with LOS ANGELES
22
23 DEPARTMENT OF WATER AND POWER this request is overly broad and irrelevant and is
24 not reasonably calculated to lead to the discovery of admissible evidence The request is
25 propounded merely to oppress and harass KUBOTA
26
Without waiving these objections Defendant responds as follows
27
Deny
28
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1 REQUEST FOR ADMISSION NO 10
2
Admit that YOU did not provide WARNINGS on any packaging or product itself
fl associated with ASBESTOS CONTAINING MATERIAL YOU provided to consumers of your
produced containing products from 1962 through 1975
5
6 RESPONSE REQUEST FOR ADMISSION NO 10
7
Objection This request is vague and ambiguous with regard to the term asbestos +
8 containing products With regard to the years 1962 to 1967 prior to Bobby Evans employment 9 with LOS ANGELES DEPARTMENT OF WATER AND POWER this request is overly broad
1010 and irrelevant and is not reasonably calculated to lead to the discovery of admissible evidence
The request is propounded merely to oppress and harass KUBOTA
Without waiving these objections Defendant responds as follows
10
Admit REQUEST FOR ADMISSION NO 11
1516
Admit that YOU did not provide any WARNINGS about the HAZARDS RELATED TO
ASBESTOS EXPOSURE with the ASBESTOS CONTAINING MATERIAL YOU SOLD to
18
VOSS at any time from 1962 through 1975
RESPONSE REQUEST FOR ADMISSION NO 11
Objection This request is vague and ambiguous with regard to the term ASBESTOS
CONTAINING MATERIAL With regard to the years 1962 to 1967 prior to Bobby Evans employment with LOS ANGELES DEPARTMENT OF WATER AND POWER this request is overly broad and irrelevant and is not reasonably calculated to lead to the discovery of
admissible evidence The request is propounded merely to oppress and harass KUBOTA
Without waiving these objections Defendant responds as follows
Deny
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REQUEST FOR ADMISSION NO 12
Admit that YOU did not provide WARNINGS on any packaging or product itself
3
associated with ASBESTOS CONTAINING MATERIAL YOU provided to VOSS at any time
4
from 1962 through 1975
5
RESPONSE REQUEST FOR ADMISSION NO 12
6
7
Objection This request is vague and ambiguous with regard to the term ASBESTOS
8 CONTAINING MATERIAL With regard to the years 1962 to 1967 prior to Bobby Evans
employment with LOS ANGELES DEPARTMENT OF WATER AND POWER this request is
10 overly broad and irrelevant and is not reasonably calculated to lead to the discovery of
11
admissible evidence The request is propounded merely to oppress and harass KUBOTA
12
Without waiving these objections Defendant responds as follows
13
Admit 14
15 REQUEST FOR ADMISSION NO 13
16
Admit that YOU did not provide any WARNINGS about the HAZARDS RELATED TO
17 ASBESTOS EXPOSURE with the ASBESTOS CONTAINING MATERIAL YOU SOLD to the
18
Los Angeles Department of Water and Power at any time from 1962 to 1975
19 RESPONSE REQUEST FOR ADMISSION NO.13 :
20
Objection This request is vague and ambiguous with regard to the terms HAZARDS
21
RELATED TO ASBESTOS EXPOSURE and ASBESTOS CONTAINING MATERIAL
22
23 With regard to the years 1962 to 1967 prior to Bobby Evans employment with LOS ANGELES
24 DEPARTMENT OF WATER AND POWER this request is overly broad and irrelevant and is
25 not reasonably calculated to lead to the discovery of admissible evidence The request assumes
26
facts not in evidence that KUBOTA sold any asbestos containing material to the LOS
27 ANGELES DEPARTMENT OF WATER AND POWER at any time from 1962 to 1975
28
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Without waiving these objections Defendant responds as follows At this point the Defendant is unaware of any sales of its product to the Los Angeles Department of Water and Power and therefore cannot admit or deny the request and on that basis
denies it
REQUEST FOR ADMISSION NO 14
Admit that YOU did not provide WARNINGS on any packaging or product itself
8 associated with ASBESTOS CONTAINING MATERIAL YOU provided to the Los Angeles
9 Department of Water and Power at any time from 1962 to 1975
10 RESPONSE REQUEST FOR ADMISSION NO 14
11
Objection This request is vague and ambiguous with regard to the terms HAZARDS
12
RELATED TO ASBESTOS EXPOSURE and ASBESTOS CONTAINING MATERIAL
13
With regard to the years 1962 to 1967 prior to Bobby Evans employment with LOS ANGELES
14
15 DEPARTMENT OF WATER AND POWER this request is overly broad and irrelevant and is
16 not reasonably calculated to lead to the discovery of admissible evidence The request assumes
17 facts not in evidence that KUBOTA sold any asbestos containing material to the LOS
18 ANGELES DEPARTMENT OF WATER AND POWER at any time from 1962 to 1975
19
Without waiving these objections Defendant responds as follows
20
At this point the Defendant is unaware of any sales of its product to the Los Angeles
21
Department of Water and Power and therefore cannot admit or deny the request and on that basis
22
23 denies it
24 REQUEST FOR ADMISSION NO 15
25
Admit that YOU were aware of the asbestos fiber release that occurred when
26
ASBESTOS CONTAINING MATERIALS YOU manufactured and supplied to VOSS were cut
27
with a power saw at any time from 1962 through 1975
28
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RESPONSE REQUEST FOR ADMISSION NO 15
Objection This request is vague and ambiguous with regard to the terms ASBESTOS
CONTAINING MATERIAL cut and power saw With regard to the years 1962 to 1967 prior to Bobby Evans employment with LOS ANGELES DEPARTMENT OF WATER AND
5
6 POWER this request is overly broad and irrelevant and is not reasonably calculated to lead to 7 the discovery of admissible evidence The request assumes facts not in evidence that KUBOTA 8 and VOSS supplied any asbestos containing material to the LOS ANGELES DEPARTMENT
OF WATER AND POWER at any time from 1962 to 1975
Without waiving these objections Defendant responds as follows
Admit
REQUEST FOR ADMISSION NO 16
Admit that YOU SOLD KUBOTA ASBESTOS CEMENT PIPE to VOSS from 1962
through 1975
RESPONSE REQUEST FOR ADMISSION NO 16
Objection With regard to the years 1962 to 1967 prior to Bobby Evans employment
with LOS ANGELES DEPARTMENT OF WATER AND POWER this request is overly broad and irrelevant and is not reasonably calculated to lead to the discovery of admissible evidence The request assumes facts not in evidence that KUBOTA and VOSS supplied any asbestos
containing material to the LOS ANGELES DEPARTMENT OF WATER AND POWER at any
time from 1962 to 1975
Without waiving these objections Defendant responds as follows
Admit
III
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REQUEST FOR ADMISSION NO 17
Los 2
Admit that YOU knew VOSS SOLD KUBOTA ASBESTOS CEMENT PIPE in
3
Angeles County from 1962 through 1975
4
RESPONSE REQUEST FOR ADMISSION NO 17
Objection With regard to the years 1962 to 1967 prior to Bobby Evans employment 6 7 with LOS ANGELES DEPARTMENT OF WATER AND POWER this request is overly broad
and irrelevant and is not reasonably calculated to lead to the discovery of admissible evidence
The request assumes facts not in evidence that KUBOTA and VOSS supplied any asbestos
10
containing material to the LOS ANGELES DEPARTMENT OF WATER AND POWER at any
11 time from 1962 to 1975
12
Without waiving these objections Defendant responds as follows
14 Admit however Voss did obtain asbestos cement pipe from other manufacturers
15 REQUEST FOR ADMISSION NO 18
16
Admit that you had an exclusive distribution agreement with VOSS under which VOSS
17 SOLD KUBOTA ASBESTOS CEMENT PIPE in California from 1962 through 1975
18
RESPONSE REQUEST FOR ADMISSION NO 18
19
Objection With regard to the years 1962 to 1967 prior to Bobby Evans employment
20
with LOS ANGELES DEPARTMENT OF WATER AND POWER this request is overly broad
21
22 and irrelevant and is not reasonably calculated to lead to the discovery of admissible evidence
22
The request assumes facts not in evidence that KUBOTA and VOSS supplied any asbestos
24 containing material to the LOS ANGELES DEPARTMENT OF WATER AND POWER at
any
25 time from 1962 to 1975
26
Without waiving these objections Defendant responds as follows
27
Admit however Voss did obtain asbestos cement pipe from other manufacturers
28
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REQUEST FOR ADMISSION NO 19
Admit that you had an exclusive distribution agreement with VOSS under which VOSS
SOLD KUBOTA ASBESTOS CEMENT PIPE in Los Angeles County from 1962 through 1975
4
RESPONSE REQUEST FOR ADMISSION NO.19 : 5
6
Objection With regard to the years 1962 to 1967 prior to Bobby Evans employment
7 with LOS ANGELES DEPARTMENT OF WATER AND POWER this request is overly broad
8 and irrelevant and is not reasonably calculated to lead to the discovery of admissible evidence
The request assumes facts not in evidence that KUBOTA and VOSS supplied any asbestos
containing material to the LOS ANGELES DEPARTMENT OF WATER AND POWER at any
time from 1962 to 1975
Without waiving these objections Defendant responds as follows Admit however Voss did obtain asbestos cement pipe from other manufacturers
REQUEST FOR ADMISSION NO 20
Admit KUBOTA ASBESTOS CEMENT PIPE was supplied to VOSS without any printed warnings affixed to the pipe from 1962 through 1975 RESPONSE REQUEST FOR ADMISSION NO 20
Objection This request is vague and ambiguous with regard to the terms printed
wamings and affixed is overly broad With regard to the years 1962 to 1967 prior to Bobby
Evans employment with LOS ANGELES DEPARTMENT OF WATER AND POWER this
request is overly broad and irrelevant and is not reasonably calculated to lead to the discovery of
admissible evidence The request assumes facts not in evidence that KUBOTA and VOSS
supplied any asbestos containing material to the LOS ANGELES DEPARTMENT OF WATER
26 AND POWER at any time from 1962 to 1975
27
Without waiving these objections Defendant responds as follows
28
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Admit
2 REQUEST FOR ADMISSION NO 21
3
Admit KUBOTA ASBESTOS CEMENT PIPE was supplied to VOSS without any
4
printed warning materials from 1962 through 1975
5 RESPONSE REQUEST FOR ADMISSION NO 21
6
Objection This request is vague and ambiguous with regard to the term printed warning
a
materials is overly broad With regard to the years 1962 to 1967 prior to Bobby Evans
9 employment with LOS ANGELES DEPARTMENT OF WATER AND POWER this request is
10
overly broad and irrelevant and is not reasonably calculated to lead to the discovery of
11 admissible evidence The request assumes facts not in evidence that KUBOTA and VOSS
12
supplied any asbestos containing material to the LOS ANGELES DEPARTMENT OF WATER
AND POWER at any time from 1962 to 1975 14
15
Without waiving these objections Defendant responds as follows
16
Admit
17 REQUEST FOR ADMISSION NO 22
18
Admit that between the years 1962 and 1975 YOU knew of the HAZARDS
19 ASSOCIATED WITH ASBESTOS EXPOSURE
20
RESPONSE REQUEST FOR ADMISSION NO 22
21
22
Objection With regard to the years 1962 to 1967 prior to Bobby Evans employment
23 with LOS ANGELES DEPARTMENT OF WATER AND POWER this request is overly broad
24 and irrelevant and is not reasonably calculated to lead to the discovery of admissible evidence
25 The request assumes facts not in evidence that KUBOTA and VOSS supplied any asbestos
26
containing material to the LOS ANGELES DEPARTMENT OF WATER AND POWER at any
27
time from 1962 to 1975
28
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Without waiving these objections Defendant responds as follows
2
Through the passage of time and demise of its employees KUBOTA is unable to more
3
completely respond to this interrogatory but shortly before its enactment KUBOTA became
4
aware of a 1960 Japanese Pneumoconiosis Act that addressed pneumoconiosis and asbestosis 5
6 resulting from long term exposures to asbestos at manufacturing facilities but not lung cancer or mesothelioma and on that basis admits the request KUBOTA believes it first learned of
asbestos related cancer and mesothelioma hazards shortly before promulgation of the 1975
Japanese Ordinance on Prevention of Hazards Caused by Specific Chemical Substances and on
this basis denies the request
REQUEST FOR ADMISSION NO 23
Admit that KUBOTA ASBESTOS CEMENT PIPE that YOU SOLD TO VOSS
CONTAINED CROCIDILITE from 1962 through 1975
14
15 RESPONSE REQUEST FOR ADMISSION NO 23
16
Objection With regard to the years 1962 to 1967 prior to Bobby Evans employment
17 with LOS ANGELES DEPARTMENT OF WATER AND POWER this request is overly broad
18
and irrelevant and is not reasonably calculated to lead to the discovery of admissible evidence
19
The request assumes facts not in evidence that KUBOTA and VOSS supplied any asbestos
20
21 containing material to the LOS ANGELES DEPARTMENT OF WATER AND POWER at any
22 time from 1962 to 1975
23
Without waiving these objections Defendant responds as follows
24
Admit
25
REQUEST FOR ADMISSION NO 24
26
Admit that VOSS stamped KUBOTA ASBESTOS CEMENT PIPE with a large logo
consisted of Voss on a triangle and Kubota underneath the triangle from 1962 through 1975
28
|
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RESPONSE REQUEST FOR ADMISSION NO 24
2
Objection With regard to the years 1962 to 1967 prior to Bobby Evans employment
3
with LOS ANGELES DEPARTMENT OF WATER AND POWER this request is overly broad
4
and irrelevant and is not reasonably calculated to lead to the discovery of admissible evidence
5 The request assumes facts not in evidence that KUBOTA and VOSS supplied any asbestos
76 containing material to the Los Angeles Department of Water and Power at any time from 1962 to
8
1975
9 Without waiving these objections Defendant responds as follows
10 Deny
11 REQUEST FOR ADMISSION NO 25
12
Admit that YOU did not warn users of KUBOTA ASBESTOS CEMENT PIPE to use 13
14 RESPIRATORY PROTECTION when working with KUBOTA ASBESTOS CEMENT PIPE
from 1962 through 1975
16 RESPONSE REQUEST FOR ADMISSION NO 25
17
Objection This request is vague and ambiguous as to the terms users and working
18
With regard to the years 1962 to 1967 prior to Bobby Evans employment with LOS ANGELES
19
DEPARTMENT OF WATER AND POWER this request is overly broad and irrelevant and is
20
not reasonably calculated to lead to the discovery of admissible evidence The request assumes
21
22 facts not in evidence that KUBOTA and VOSS supplied any asbestos containing material to
23 the Los Angeles Department of Water and Power at any time from 1962 to 1975
24
Without waiving these objections Defendant responds as follows
25
Deny
26 REQUEST FOR ADMISSION NO 26
27
Admit that YOU did not war users of KUBOTA ASBESTOS CEMENT PIPE to use
28
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RESPIRATORY PROTECTION when cutting KUBOTA ASBESTOS CEMENT PIPE from 1962 through 1975
RESPONSE REQUEST FOR ADMISSION NO 26
4
Objection This request is vague and ambiguous as to the terms users and cutting
5
6 With regard to the years 1962 to 1967 prior to Bobby Evans employment with LOS ANGELES DEPARTMENT OF WATER AND POWER this request is overly broad and irrelevant and is
not reasonably calculated to lead to the discovery of admissible evidence The request assumes
facts not in evidence that KUBOTA and VOSS supplied any asbestos containing material to
10
the Los Angeles Department of Water and Power at any time from 1962 to 1975
11
Without waiving these objections Defendant responds as follows
12
Deny
13
REQUEST FOR ADMISSION NO 27
14
15
Admit that YOU did not tell VOSS to warn users of KUBOTA ASBESTOS CEMENT
16 PIPE to use RESPIRATORY PROTECTION when working with KUBOTA ASBESTOS
17 CEMENT PIPE from 1962 through 1975
18 RESPONSE REQUEST FOR ADMISSION NO 27
Objection This request is vague and ambiguous as to the terms users and working
20
With regard to the years 1962 to 1967 prior to Bobby Evans employment with LOS ANGELES
21
22 DEPARTMENT OF WATER AND POWER this request is overly broad and irrelevant and is
23 not reasonably calculated to lead to the discovery of admissible evidence The request assumes
24 facts not in evidence that KUBOTA and VOSS supplied any asbestos containing material to
the Los Angeles Department of Water and Power at any time from 1962 to 1975
26
Without waiving these objections Defendant responds as follows
27
Deny
28
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REQUEST FOR ADMISSION NO 28
2
Admit that YOU did not tell VOSS
to warm users of KUBOTA ASBESTOS CEMENT
3
PIPE to use RESPIRATORY PROTECTION when
4
cutting KUBOTA ASBESTOS CEMENT
PIPE from 1962 through 1975 5
6 RESPONSE REQUEST FOR ADMISSION NO 28
7 Objection This request is vague and ambiguous as to the terms users and cutting Objection With regard to the years 1962 to 1967 prior to Bobby Evans employment with LOS
ANGELES DEPARTMENT OF WATER AND POWER this request is overly broad and
10
irrelevant and is not reasonably calculated to lead to the discovery of admissible evidence The
11
request assumes facts not in evidence that KUBOTA and VOSS
12
supplied any asbestos
containing material to the Los Angeles Department of Water and Power at any time from 1962 to
1975 14
15
Without waiving these objections Defendant responds as follows
16
Deny
17 REQUEST FOR ADMISSION NO 29
18
Admit that YOU did not require VOSS to warn users of KUBOTA ASBESTOS
19
CEMENT PIPE to use RESPIRATORY PROTECTION when
20
working with KUBOTA
ASBESTOS CEMENT PIPE from 1962 through 1975
21
22 RESPONSE REQUEST FOR ADMISSION NO 29
23 Objection This request is vague and ambiguous as to the terms users and working .
24 With regard to the years 1962 to 1967 prior to Bobby Evans employment with LOS ANGELES
25
DEPARTMENT OF WATER AND POWER this request is overly broad and irrelevant and is
26
not reasonably calculated to lead to the discovery of admissible evidence The request calls for a
27
28 legal conclusion and assumes facts not in evidence that KUBOTA and VOSS supplied any
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asbestos containing material to the Los Angeles Department of Water and Power at any time
2 from 1962 to 1975
4
Without waiving these objections Defendant responds as follows
Deny
REQUEST FOR ADMISSION NO 30
6
7
Admit that YOU did not require VOSS to wam users of KUBOTA ASBESTOS
8 CEMENT PIPE to use RESPIRATORY PROTECTION when cutting KUBOTA ASBESTOS 9 CEMENT PIPE from 1962 through 1975 10 10
RESPONSE REQUEST FOR ADMISSION NO 30
Objection This request is vague and ambiguous as to the terms users and cutting
12
Objection With regard to the years 1962 to 1967 prior to Bobby Evans employment with LOS
13
14 ANGELES DEPARTMENT OF WATER AND POWER this request is overly broad and
15 irrelevant and is not reasonably calculated to lead to the discovery of admissible evidence The
16 request calls for a legal conclusion and assumes facts not in evidence that KUBOTA and
17 VOSS supplied any asbestos containing material to the Los Angeles Department of Water and
18 Power at any time from 1962 to 1975
19
Without waiving these objections Defendant responds as follows
20
Deny
21
REQUEST FOR ADMISSION NO 31 22
2.3
Admit that YOU did not know the SYSTEM OF DISTRIBUTION VOSS used to
24 distribute KUBOTA ASBESTOS CEMENT PIPE in Los Angeles County California from 1962
through 1975
26 RESPONSE REQUEST FOR ADMISSION NO 31
27
Objection vague ambiguous and unintelligible as to the phrase system of
28
03/15/2010 03/15/2010 17:16 17:16 FAX
071/137
transportation and with regard to the years 1962 to 1967 prior to Bobby Evans employment
with LOS ANGELES DEPARTMENT OF WATER AND POWER this request is overly broad
3
and irrelevant and is not reasonably calculated to lead to the discovery of admissible evidence
The request assumes facts not in evidence that KUBOTA and VOSS supplied any asbestos
5
containing material to the Los Angeles Department of Water and Power at any time from 1962 to
1975
Without waiving these objections Defendant responds as follows
Admit although KUBOTA did have general knowledge of the distribution system i.e.
10
transport by truck from port to yard and then from the yard to Voss customers
1 REQUEST FOR ADMISSION NO 32
12 Admit that YOU do not know the WORKSITES where VOSS distributed KUBOTA
13
ASBESTOS CEMENT PIPE from 1962 through 1975
14
15 RESPONSE REQUEST FOR ADMISSION NO 32
16
Objection With regard to the years 1962 to 1967 prior to Bobby Evans employment
17 with LOS ANGELES DEPARTMENT OF WATER AND POWER this request is overly broad
18
and irrelevant and is not reasonably calculated to lead to the discovery of admissible evidence
19
The request assumes facts not in evidence that KUBOTA and VOSS supplied any asbestos
20
containing material to the Los Angeles Department of Water and Power at any time from 1962 to
21
1975 22
23
Without waiving these objections Defendant responds as follow
24
Admit
25 REQUEST FOR ADMISSION NO 33
26 Admit that KUBOTA ASBESTOS CEMENT PIPE that YOU SOLD TO VOSS
27
CONTAINED CROCIDILITE from 1962 through 1975
25
2020
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072/1072/137 3072/7137
RESPONSE REQUEST FOR ADMISSION NO 33
2
Objection With regard to the years 1962 to 1967 prior to Bobby Evans employment
3 with LOS ANGELES DEPARTMENT OF WATER AND POWER this request is overly broad
and irrelevant and is not reasonably calculated to lead to the discovery of admissible cvidence
4 The request assumes facts not in evidence that KUBOTA and VOSS supplied any asbestos
7 containing material to the Los Angeles Department of Water and Power at any time from 1962 to
1975
Without waiving these objections Defendant responds as follows
Admit
11
REQUEST FOR ADMISSION NO 34
12
Admit that YOU did not warn VOSS of the HAZARDS ASSOCIATED WITH
13
ASBESTOS EXPOSURE from 1962 through 1975
14
15 RESPONSE REQUEST FOR ADMISSION NO 34
16
Objection With regard to the years 1962 to 1967 prior to Bobby Evans employment
17 with LOS ANGELES DEPARTMENT OF WATER AND POWER this request is overly broad
18
and irrelevant and is not reasonably calculated to lead to the discovery of admissible evidence
19
The request assumes facts not in evidence that KUBOTA and VOSS supplied any asbestos
20
containing material to the Los Angeles Department of Water and Power at any time from 1962 to
21
1975 22
23
Without waiving these objections Defendant responds as follows
24
Deny
REQUEST FOR ADMISSION NO 35
26
Admit that YOU knew that consumers were cutting KUBOTA ASBESTOS CEMENT
27
PIPE with power saws from 1962 through 1975
28
03/15/2010 17:17 FAX
073/137 073/137
RESPONSE REQUEST FOR ADMISSION NO 35
2
Objection This request is vague and ambiguous as to the terms consumers cutting
3 and power saws With regard to the years 1962 to 1967 prior to Bobby Evans employment
5 with LOS ANGELES DEPARTMENT OF WATER AND POWER this request is overly broad
and irrelevant and is not reasonably calculated to lead to the discovery of admissible evidence
6 The request assumes facts not in evidence that KUBOTA and VOSS supplied any asbestos
8 containing material to the Los Angeles Department of Water and Power at any time from 1962 to
9 1975
10
Without waiving these objections Defendant responds as follows
11
Admit that KUBOTA knew that consumers like Voss would require various persons to
perform occasional cutting of pipes outdoors in small quantities
13
REQUEST FOR ADMISSION NO 36
14
15
Admit that from 1962 through 1975 YOU knew that when consumers cut KUBOTA
16 ASBESTOS CEMENT PIPE with power saws that asbestos fiber would be released into the air 17 RESPONSE REQUEST FOR ADMISSION NO 36
Objection This request is vague and ambiguous as to the terms consumers cut and
19
power saws With regard to the years 1962 to 1967 prior to Bobby Evans employment with
20
LOS ANGELES DEPARTMENT OF WATER AND POWER this request is overly broad and
irrelevant and is not reasonably calculated to lead to the discovery of admissible evidence The
request assumes facts not in evidence that KUBOTA and VOSS supplied any asbestos
containing material to the Los Angeles Department of Water and Power at any time from 1962 to
1975
Without waiving these objections Defendant responds as follows
Admit
03/15/2010 03/15/2010 17:17 17:17 FAX
074/137 074/137
REQUEST FOR ADMISSION NO 37
2
Admit that printed warnings regarding asbestos dust were on bags of JOHNS-
3 MANVILLE asbestos fiber you were supplied by TOKYO KOGYO BOEKI SHOKAI for the
4
production of KUBOTA ASBESTOS CEMENT PIPE from 1962 through 1975
5
RESPONSE REQUEST FOR ADMISSION NO 37
Objection With regard to the years 1962 to 1967 prior to Bobby Evans employment
with LOS ANGELES DEPARTMENT OF WATER AND POWER this request is overly broad
and irrelevant and is not reasonably calculated to lead to the discovery of admissible evidence
10
The request assumes facts not in evidence that KUBOTA and VOSS supplied any asbestos
11
containing material to the Los Angeles Department of Water and Power at any time from 1962 to
12 1975
13
Without waiving these objections Defendant responds as follows
14
15
Deny
16 REQUEST FOR ADMISSION NO 38
17
Admit that YOU SOLD KUBOTA ASBESTOS CEMENT PIPE to VOSS from 1962
18
through 1975
19 RESPONSE REQUEST FOR ADMISSION NO 38
20
Objection With regard to the years 1962 to 1967 prior to Bobby Evans employment
21
22 with LOS ANGELES DEPARTMENT OF WATER AND POWER this request is overly broad
2.3 and irrelevant and is not reasonably calculated to lead to the discovery of admissible evidence
24 The request assumes facts not in evidence that KUBOTA and VOSS supplied any asbestos
containing material to the LOS ANGELES DEPARTMENT OF WATER AND POWER at any
26
time from 1962 to 1975. Asked and answered at Request for Admission No. 16
27
Without waiving these objections Defendant responds as follows
28
03/15/2010 03/15/2010 17:17 17:17 FAX
075/137 075/137
Admit
REQUEST FOR ADMISSION NO 39
Admit that YOU knew VOSS SOLD KUBOTA ASBESTOS CEMENT PIPE in Los
5 Angeles county from 1962 through 1975
RESPONSE REQUEST FOR ADMISSION NO 39 6
7
Objection With regard to the years 1962 to 1967 prior to Bobby Evans employment
with LOS ANGELES DEPARTMENT OF WATER AND POWER this request is overly broad
and irrelevant and is not reasonably calculated to lead to the discovery of admissible evidence
The request assumes facts not in evidence that KUBOTA and VOSS supplied any asbestos
containing material to the Los Angeles Department of Water and Power at any time from 1962 to
1975. Asked and answered at Request No. 17
Without waiving these objections Defendant responds as follows
Admit
REQUEST FOR ADMISSION NO 40 Admit that Rhoda Evans has mesothelioma caused by asbestos exposure
RESPONSE REQUEST FOR ADMISSION NO 40
Dony
20 REQUESTFOR ADMISSION NO 41
Admit that YOU contributed to Rhoda Evans mesothelioma 22 23 RESPONSE REQUEST FOR ADMISSION NO 41
2.4
Objection The request assumes facts not in evidence that KUBOTA and VOSS
25
supplied any asbestos containing material to the Los Angeles Department of Water and Power at
26 any time from 1962 to 1975
27 ///
28
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076/137 076/137
1
Without waiving these objections Defendant responds as follows
2
Deny
3 Dated March 15 2010
4
WILSON ELSER MOSKOWITZ
EDELMAN & DICKER LLP
5
See Ontivero See C. C. Corless
7
Aide C. Ontiveros
Attorneys for Defendant
8
KUBOTA CORPORATION
9
7.1 12 13 14 15
17 18 19 20 21 22 23 24 25 26 27 28
03/15/2010 03/15/2010 17:17 17:17 FAX
077/130777/137
1
VERIFICATION
N
STATE OF CALIFORNIA COUNTY OF LOS ANGELES
3
I have read the foregoing DEFENDANT KUBOTA CORPORATION'S RESPONSES
4 TOTO REQUESTS FOR ADMISSION SET NO ONE ( and know its contents
5
am Masahiko Uchino Legal Department for KUBOTA CORPORATION a party to
6
this action entitled Rhoda Evans v A. W. Chesterton et al LASC Case No. BC 418867 and am
authorized to make this verification for and on its behalf and I make this verification for that
9 || reason I am informed and believe and on that ground allege that the matters stated in the
10 |{ foregoing document are true
11
Executed on March 15 2010 at Osaka Japan
12
I declare under the penalty of perjury under the laws of the State of California that the
13
foregoing is true and correct
14
158475
158475
16
158475
158475
17
18
28
28
21
22
23
24
25
26
27
28
26 DEFENDANT KUBOTA CORPORATION'S RESPONSES TO PLAINTIFFS REQUESTS FOR ADMISSION SET ONE 872371.1
03/15/2010 03/15/2010 17:17 17:17 FAX
078/137 078/137
PROOF OF SERVICE 1013a CCP
STATE OF CALIFORNIA COUNTY OF LOS ANGELES
I am employed in the County of Los Angeles State of California I am over the
of 18
and
not
a
party
to
the
within
action
my
business
address
is
555
South
FlowerFlower
Street
age
29th Floor
Los Angeles California 90071
On March 15 2010 I caused the foregoing document described as DEFENDANT
KUBOTA CORPORATION'S RESPONSES TO PLAINTIFFS REQUEST FOR ADMISSIONS SET ONE to be served on the interested parties in this action by placing a true copy thereof enclosed in seal envelopes addressed as follows
SEE ATTACHED SERVICE LIST
X
BY FACSIMILE I caused said document to be telephonically transmitted to each
addressee's telecopier Fax number as noted on Proof of Service List
AND
X BY MAIL I caused such envelope fully prepaid to be placed in the United States
Mail at Los Angeles California I am readily familiar with the firm's practice of collection and processing correspondence or mailing Under that practice it would be deposited with the U.S. postal service on that same day with postage thereon fully prepaid at Los Angeles Califomia in the ordinary course of business I am aware that on
motion of the party served service is presumed invalid if postal cancellation date or
postage meter date is more than one day after date of deposit for mailing in affidavit
tf
BY OVERNIGHT EXPRESS I caused said document to be picked up
by U.S. Federal Express Services for overnight delivery to the offices of the addressees
listed on the Service List
=
BY HAND PERSONAL SERVICE I caused said document to be
personally delivered by a attorney service to the addressee as noted on the Service
list
I declare under penalty of perjury under the laws of the State of California that the above
is true and correct
Executed on March 15 2010 Los Angeles California
ALB
Irene Guzman Buelna
03/15/2010 17:17 FAX
079/137 079/137
SERVICE LIST
RHODA EVANS et al v KUBOTA CORPORATIONCORPORATION et al
2
Case No BC418867
3 Our File No 00495.06997
Jeffrey A. Kaiser Esq
4
T. Scott Hames Esq
5 LEVIN SIMES KAISER & GORNICK LLP
44 Montgomery Street 36th Floor
San Francisco California 94104
6 ORIGINAL K Gates LLP
8
Four Embarcadero Center Suite 1200
San Francisco CA 94111
9
COPY
Attorneys for Plaintiffs
RHODA EVANS and BOBBY EVANS
Tel 415 646-7160 - Fax 415 981-1270
Attorneys for Crane Co. Individually & as successor to Chapman Valve Co.
Tel 415 882-8200
- Fax 415 882-8220
10
11
Corinne Orquiola Esq
LEWIS BRISBOIS BISGAARD & SMITH LLP
12
221 North Figueroa Street Suite 1200
Los Angeles CA 90012
13 |COPY
14
William J. Sayers Esq
Farah S. Nicol Esq
15
Mary McKelvey Esq
MCKENNA LONG & ALDRIDGE LLP
16
300 S. Grand Avenue Suite 1400
Los Angeles CA 90071
17
COPY
18
Carmen Trutanich Esq
19
Pamela L. McFarlane Esq
Eskel Solomon Esq
20
111 North Hope Street Suite 340
P.O. Box 51111
Los Angeles CA 90051
COPY
Attorneys for Advocate Mines Limited Tel 213 250-1800 - Fax 213 580-7942
orquiola@lbbslaw.com
Attorneys for Certain Corporation
Tel 213 688-1000
- Fax 213 243-6330
mmckelvey@mckennalong.mcckelveyo@mcken amlong.com
Attorneys for Los Angeles Department of Water
and Power
Tel 213 367-4640-4534 367-4640-4534 - Fax 213 367-4588 Maggie Flores - Secretary Pamela.mcfarlane@ladwp.com Eskel.solomon@ladwp.com
R. Gregory Amudson Esq Seymour B. Everett Esq WOOD SMITH HENNING & BERMAN 5000 Birch Street Suite 8500 Newport Beach CA 92660
2
N |COPY
Associated Counsel for City of Los Angeles Acting by and through the Department of Water and Power of the City of Los Angeles
Tel 949 757-4500 - Fax gamudson@wshblaw.com severett@wshblaw.com
949 757-4550
%
PROOF OF SERVICE
2