Document pe3Dj0oYL8zMoYbBxVeYjxvY7
FILE NAME Corning OC
DATE 1990
DOC OC297
DOCUMENT DESCRIPTION Legal - Amended Answers of Corning to Interrogatories with Product Chart
IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF SOUTH CAROLINA
COLUMBIA DIVISION
RE Asbestos Litigation
Amended Answers to
Interrogatories
Defendant Corning Fiberglas amends any and all
previously filed answers to Interrogatories in asbestos
litigation in the District of South Carolina as follows
1.
OCF states that it was named as a party in
Workmen's Compensation actions filed by persons believed to
have been employees of its Contracting and
alleging injury from exposure to asbestos
Supply Division
These claimants
were apparently insulation workers who filed actions
against numerous past and present employers and alleged
injury from exposure to a variety of asbestos and
nonasbestos materials over a period of many
years
OCF response
does to
not have records to
this
interrogatory
provide a _ complete
because
Worker's
Compensation claims historically have been processed by
OCF's insurance carriers and OCF's corporate headquarters
would not always have received contemporaneous notification
of individual claims
-Page 1-
OCF has had in its possession certain claims materials
from these kinds of Worker's Compensation actions
These
materials were located for the most part in the Law
Department of the company's Santa Clara California
manufacturing plant However all of these files originally
located at Santa Clara have not been located in company
files during a recent review of documents
A diligent
search continues
The following table sets forth the factual information
which is presently known about these claims
Based on a
preliminary review of these materials conducted in 1980 it
appears that the injuries claimed were asbestosis and in
some instances lung cancer
Name 1. Harold Bronson
Approx date of claim filed against
OCF
1964
2. Leonard Brookenshire
1968
3 Allan Everitt
1963
4. Minnie Louise & Bruce Frederick
1967
5 Steve Gillovich
6. Robert O. Goans 7 Robert E. Goodwin 8 Paul Gratishire
1963 1969 1962
9 Allen Hamberg
-Page 2-
Location
Los Angeles CA Los Angeles CA
Fresno CA
Oakland CA
California Oakland CA Seattle WA
10. Roy B. Harris 11. Gerald Herrick 12. Harold Hilstrom eed 13. Burton Kramer 14. Marvin Lindholm
15. William Lee Mabry
16. W.L. Menzies 17. Fred Moffett 18. Willis E. Moore
19. Edward Meyers
20. George Nelson 21. Henry Puetz 22. John Stanley 23. M.E. Sutton 24. David Swindell 25. William E. Tudor 26. Charles Vincent 27. James Whitcomb Riley 28. Leroy C. Winters 29. John Wyss
1973 1970 1973 1960 1973 1967 1968 1966
1962
1968 1966-1967 1969
1975 1967 1970 1959 1959 1962
Phoenix AZ Anchorage AK Washington Washington Seattle WA Oregon Los Angeles CA Oregon Seattle WA San Francisco
CA
Phoenix AZ
Los Angeles CA
Sacramento CA Seattle WA Anchorage AK
Albuquerque NM
In addition a review of the OCF Toledo Medical
Department
files
indicates
the
following
information
relating to these kinds of Workmen's Compensation claims
-Page 3-
Name 1. Wayne E. Boyer
Approx
date claim
pending
against
OCF
1969-70
Alleged Injury
Asbestosis
Location
Los Angeles
CA
2. Lawrence F. Brimmer
1969
Unknown
Grand Rapids MI
Maurine Clark
1969-70
Unknown
Los Angeles
CA
James E. Clark
1969-70
Unknown
San Francisco CA
James Clark
1970
Bruce Frederick
Minnie Louise
1967-70
Charles F. Funkhouser
1970
Robert E. Goodwin
1969-70
9. Gerald D. Herrick
1970
10.
Robert J.
Horsman
1969-70
11. Roy B. Merrill 1969-70
12. Fred Moffet
1967-68
Asbestosis Asbestosis
Seattle WA Fresno CA
Asbestosis
Los Angeles
CA
Pneumoconiosis Asbestos exposure
Asbestosis
Los Angeles
CA
AnchoragAeK
Asbestosis
Pneumoconiosis Asbestos exposure
Disability Exposure to
asbestos
Los Angeles
CA
Los Angeles
CA
13. Willis W. Moore 1969-70
14. Frances E. Owens
1969-70
15. Edward L.
Pfleghar
1968-70
Asbestosis
Seattle WA
Unknown
Los Angeles
CA
Asbestosis
San Francisco CA
-Page 4-
16. Henry C. Puetz 1966-70
17. John Stanley
1968-70
18.
Vernon F. Tucker
19.
William E. Tudor
20.
Charles L. Vincent
1969-70 1967-70 1969-70
Asbestosis
San Francisco CA
Asbestosis
Los Angeles
CA
Asbestosis
Los Angeles
CA
Asbestosis Seattle WA
Asbestosis Anchorage AK
Additional information relating to that which is
discussed herein would be located in OCF's document library
OCF states that it has collected numerous records and
documents relating to asbestos generally
These documents
are stored in OCF's document library located in Richmond
Virginia
The document
library
contains
existing
documents
generated and received at the OCF corporate headquarters in Toledo Ohio its technical center in Granville Ohio
and from manufacturing facilities in Berlin New Jersey
Bloomington
California
Illinois Newark Ohio and Santa Clara The library also contains certain files
obtained from Fiberglas Engineering and Supply Company in
San Francisco and Seattle Washington
Other documents
relating to Fiberglas Engineering and Supply Co. of San Francisco are maintained by the law firm of Popelka Allard McCowan & Jones in San Jose California pursuant to an
-Page 5-
agreement contained in Defendant's response to plaintiffs
request for production in Heley et al v Fibreboard et
al June 10 1989
The
library
contains
responsive
privileged
materials generated before and during the time that OCF
manufactured containing Kaylo insulation
At a mutually convenient time OCF will make available
for inspection by plaintiffs counsel the privileged
documents stored in its document library
Counsel for OCF
will provide an index which sets forth the file titles of
those files contained in each box and personnel to assist
plaintiffs counsel in locating documents responsive to the
discovery requests in this matter
OCF will also make
arrangements for copying documents which plaintiffs counsel
may select
Copying and shipping costs will be borne by
plaintiff unless otherwise ordered by the Court
OCF's
library
includes
documents
that
contain
information which is considered to be proprietary and trade
secret Therefore they will be produced after the entry of
an appropriate protective order
OCF has removed from the library any existing materials
which it contends are protected from discovery as privileged
attorney communications
attorney work product
materials materials within the physician privilege
or
those
otherwise
beyond
the
scope
of
permissible
discovery
Each document removed as privileged has been
-Page 6-
substituted with an easily identifiable marker which
describes the privileged document by document type e.g.
memo letter note date author recipient subject
matter and basis for objection
These markers may be
designated for copying in the same manner as privileged
documents
Visits to the library may be scheduled through OCF's
local counsel
Certain other Worker's Compensation claims files may
have been furnished to OCF by plaintiffs counsel in the
course of litigation
It is believed that these files were
originally obtained from defendants or from public
records
Copies of these files were not found among OCF's
historical documents but some of these files relate to the
same claimants whose names appear in the tables above
These files number in excess of 2,300 pages and will be made
available upon request for inspection and copying at a
reasonable cost
2.
Attached is Exhibit A
to these
Answers
to
Interrogatories is a product chart regarding Corning
Fiberglas products
This Defendant would state that this
product chart includes products which contains less than %
asbestos and also which contain asbestine which is not an
asbestiform mineral
-Page 7-
Respectfully submitted
LOVE THORNTON ARNOLD & THOMASON
William A. Coates
183
V. Clark Price
3155
410 E. Washington Street
P.O. Box 10045
Greenville S.C. 803 242-6360
29603
Greenville South Carolina
March 13 13
, 1990
-Page 8-