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6. For each such asbestos-containing friction prod uct manufactured, processed, sold, relabeled and/or distributed by you from the date of initial manufacture etc. to 1982, state:
(a) The asbestos content by weight of each product for each year;
(b) The type of asbestos fiber used in each product, i.e., chrysotile, amosite, crocidolite or admixtures for each year;
(c) The applications to which such product was to be put including;
(d) The intended uses of such product;
(e) The mining or milling concern from which ! the raw asbestos fiber was obtained.
ANSWER:
See Response to Interrogatory No. 5.
I 7. Please describe in detail the type of packages in
which the Defendant has sold asbestos friction products, listing the dates each type of package was used, a physical description thereof, a description of any printed material or trademarks that appeared thereon and a description of any warning labels that appeared thereon.
ANSWER:
See Response to Interrogatory No. 5.
8. State whether Defendant manufactured asbestos containing friction products for a company but placed said company's labels, logos or containers on said products, and if so list each company.
ANSWER: Abex objects to this Interrogatory on the following grounds:
1. Burden 2. Overly Broad
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