Document pmMmXndpv4L45M7obLDd6y7J6
Multi-PageTM
1
IN THE CIRCUIT COURT FOR BALTIMORE CITY
***BA*LTIMO*RE, M*ARYL*AND ***
ALVIN WRIGHT, et.al.,
Plaintiffs v. LEAD INDUSTRIES ASSOC., INC.,
et.al.,
Defendants ******
* Case No. 94363042/ * CL190487
*
*
*
*****
ALLEN WRIGHT, et.al., Plaintiffs
v. LEAD INDUSTRIES ASSOC.,
et.al.. Defendants
INC.,
* Case No, 94363043/ * CL190488
*
*
* Judge Ellen Heller
sz-iu &
DEPOSITION OF JEROME F. SMITH The Deposition of Jerome F. Smith was held in the above-captioned cases on Tuesday, March 26, 1996, commencing at 9:09 a.m., at the Law Offices of Peter G. Angelos, 300 East Lombard Street, Baltimore, Maryland 21202, and was reported by Bonnie Gahagan, a Notary Public.
EVANS REPORTING SERVICE 2422 Southwest Road
Baltimore, Maryland 21234 (410) 882-0208
Evans Reporting Service
N39083
1 APPEARANCES: 2 RONALD RICHARDSON, ESQUIRE, 38
5 MApRKLd. SULaLIVAN, ESQ~UIRElin 7 Oq S^1i o*/tteB^aidant, Lead Industries ^ Association, Lnc.
range s q u ir e 3yv Park Avenue
10 New York, New York 10022*4690. ^ ^ On Bekauof the Defendant* Atlantic Richfield 12
G. MARC WHITEHEAD. ESQUIRE 15 WILLIAM R. SKALLERUD. ESQUIRE and 16 & Kaufman
222&uthJSinth Street ! C^lKllngcrsc,1 .
2. EX Dupont DC
Multi-PageTM
Page 2
1 APPEARANCES (CONTINUED) 2 JOSEPH M. DAVID. 1*. ESQUIRE
l k'iiaLiSSsKsi^wni..
9 & Maclue " Sclmmann
> ifeiaa.*.
14 15 16 17 18 19 20 21
Page 3
Page 4
Page 5
1 PROCEEDINGS:
1 MR. KENNEALLY: Frank Kenneally on behalf of
2 THE VIDEOGRAPHER: This is the deposition
2 Sherwin-Williams,
3 of Jerome Smith in the matter of Allen Wright, et al.
3 MR. DAVID: Joe David on behalf of Sherwin-
4 versus Lead Industries Association, Inc., et al. Case
4 Williams.
5 Number 94363042/CL190487.
5 MR. CALDWELL: Adam Caldwell on behalf of
6 The Court Reporter is Bonnie Gahagan
6 Doe Run.
7 employed by Evans Reporting Service. The Videographer
7
MR. CURTIS: Philip Curtis on behalf of
8 is Lynne Livingston, employed by Deposition
8 Atlantic Richfield.
9 Specialists.
9 MR. SULLIVAN: Just to complete the record,
10 MR. RICHARDSON: For the plaintiffs, this is
10 I have been told that NL industries will not be having
11 Ronald E. Richardson.
11 someone in attendance and neither will Fuller
12 MR. SULLIVAN: I am Mark L. Sullivan. I am
12 O'Brien.
13 the attorney for Lead Industries Association, Inc.
13 Any objections that will be made today will
14 MR. WHITEFORD: Thomas Whiteford on behalf
14 be -- is applicable to them for all purposes for all
15 of A. Bauer and Company.
15 defendants.
16 MR. WHITEHEAD: Marc Whitehead on behalf of.
16 MR. SKALLERUD: Okay.
n Glidden.
17 MR. SULLIVAN: Just in keeping with the
18 MR. SKALLERUD: william Skallerud on behalf
18 other stipulations that we have had m the past, I
19 of Glidden.
19 presume that all objections and motions to strike
20 MR. DONOGHUE: Paul Donoghue on behalf of
20 should be made at this time as opposed to reserve for
21 Schumann Hardware.
21 the time at trial.
Page 6
Page 7
1 Is that okay?
1 As to all of those, we will stipulate that
2 MR. RICHARDSON: That is fine.
2 those are true and accurate copies of those
3 Are you going to make a statement as to the
3 documents.
4 documents produced by --
4 As to the documents which I gave you
5 MR. DAVID: I am sorry, just before you get
5 yesterday which were documents that were found in the
6 started on that, did you indicate that stipulation,
6 files of ILZRO, we originally believed to be ILZRO
7 objections for one is objections for all?
7 documents, but on further review we believe those to
8 MR. RICHARDSON: Yes.
8 be L.I.A. and those are true and accurate copies of
9 MR. DAVID: I am sorry.
9 the documents that we found in those ILZRO files.
10 MR. SULLIVAN: in order for the documents
10 MR. RICHARDSON: when you say ILZRO, what
11 we have produced -- in order to save some time, we can
11 does that stand for?
12 stipulate that the documents that you have are
12 MR. SULLIVAN: l am sorry, International
13 accurate copies of documents that have been retained
13 Lead Zinc Research Organization.
14 in the files of the Lead Industries Association.
14 MR. RICHARDSON: I will not ask the deponent
15 You have received copies of the minutes of
15 any questions on the documents produced by L.I.A., not
16 the Board of Directors, copies of the minutes of the
16 for the identification.
17 Executive Committee, and then you received copies of 17 MR. SULLIVAN: YOU may.
18 other documents which were maintained on a microfilm,
18
MR. RICHARDSON: Because I did receive
19 and we have given you selected copies of those that we
19 documents from L.I.A. yesterday afternoon, the
20 felt would be applicable to your request for
20 plaintiffs must at least reserve their right to at
21 production.
21 least reopen the deposition should the review of the
Evans Reporting Service
Page 2 - Page 7
Multi-PageTM
Page 8
1 documents reveal any issues that have not been
1 Q Good morning.
2 addressed today at the deposition.
2 A Good morning.
3 I do not expect that to happen today since
3 Q Would you state your full name for the
4 based on your representation that these are dated in
4 record, please.
' the '70s, and they do not raise any new issues that
5 A My name is Jerome F. Smith.
, will not be discussed today and until I can review
6 Q You have been deposed before, have you not?
7 those documents and say one way or the other, I
7 A I have.
8 believe I must reserve the right to reopen the
8 Q On how many occasions?
9 deposition should there be something in those
9 A Twice.
to documents and the deposition would only be limited to
10 Q Twice. Were those in lead-related cases?
11 whatever was new and addressed in those documents
11 A That is correct.
12 produced yesterday afternoon.
12 Q Did those involve suits against the lead
13 MR. SULLIVAN: That is satisfactory. Thank
13 industry?
14 you.
14 A Yes.
15 Whereupon,
15 Q Was the L.I.A. a defendant in both of those
16 JEROME F. SMITH,
16 cases?
17 die witness herein, being first duly sworn to testify the
17 A Yes.
18 truth, the whole truth, and nothing but the truth, was
18 Q And which cases were they? What was the
19 examined and testified as follows:
19 name of the cases, if you know?
20 EXAMINATION
20 A The one was the Santiago case in 1989, and
21 BY MR. RICHARDSON:
21 the other--
Page 9
Page 10
Page 11
1 Q Do you remember which city it was in?
1 And if you don't understand any of my
2 A Oh, it was New Orleans.
2 questions or for that matter if you don't understand
3 Q Okay. So you probably are familiar with
3 anyone's question, please ask them to rephrase it, and
4 these ground rules, but let me just go over them with
4 lam sure everyone will be more than happy to do so
s you very quickly.
5 because if you don't do that and you answer the
6 All of your answers have to be verbalized.
6 question, it will be assumed that you understood the
7 You can't nod your head or make motions because the
7 question.
8 Court Reporter won't be able to take those down
8 A All right.
9 accurately.
9 Q Now, what is your -- are you currently
10 At any time during the day if you want to
10 employed by the L.I.A.?
11 take a break, just say so and we will stop and take a
11 A I am.
break.
12 Q So what is your business address?
> This deposition will probably take all of
13 A Business address is 295 Madison Avenue, New
14 today, so at any time you want to take a break, feel
14 York, New York 10017.
15 free to just say so and we will do that.
15 Q And your home address?
16 A AH right. Thank you.
16 A My home address is 37 Friends,
17 Q You have to wait until I finish asking the
17 F-r-i-e-n-d-s, Lane in Westbury, New York 11 -- excuse
18 questions, and I will wait until you finish answering
18 me, 11590.
19 the question so that the Court Reporter can, again,
19 Q And your date of birth, sir?
20 take everything down in such a way that it is not
20 A I was bom November 7, 1934.
21 confusing.
21 Q Would you like some water or something?
Page 12
Page 13
1 A I have a little left.
1 college?
2 Q You have got some left?
2 A From time to time, I have taken courses in
3 Beginning with high school, what high school
3 metallurgy and other things in New York.
4 did you go to?
4 (Whereupon, Smith DepositionExhibit Number
5 A I went to Abraham Lincoln High School in
5 1 was marked for identification.)
6 Council Bluffs, Iowa.
6 BY MR. RICHARDSON:
7 Q Are you from Iowa?
7 Q I am going to show you what has been marked
8 A Yes.
8 as Exhibit Number 1. It is a copy of a notice.
9 Q And did you obtain any education after high
9 Now, this notice will not reflect the actual
10 school?
10 date of your deposition since that has changed since
11 A Yes. I went to college.
11 that notice came out, but I would like you to just
12 Q Where?
12 take a moment and look at that and just let me know if
13 A University of Miami in Miami, Florida.
13 you have seen that before?
14 Q And did you obtain a Bachelor degree?
14 (Whereupon, document tendered to witness.)
is A I did.
15 A Yes, I have.
16 Q In?
16 Q You understand that that notice is not to
17 A Bachelor of Science in geology, minor in
17 you personally, but to the L.I.A. to designate someone
18 chemistry.
18 to testify to the matters that are listed in there; is
Q And did you obtain another advanced degree?
19 that your understanding?
, A No, I did not.
20 A Yes, sir.
21 Q Did you undertake any other education after
21 Q And do you believe that you are the person
;*age 8 - Page 13
Evans Reporting Service
Multi-PageTM
Page 14
Page 15
1 most knowledgeable to address the issues listed in
1 things that were the corporate papers that we turned
2 that notice?
2 overtoyou.
3 A On behalf of L.I.A., yes.
3 Q The L.I.A. documents?
4 Q On behalf of L.I.A.
4 A That is correct.
5 Is there anyone else who is either currently
5 Q Okay.
6 employed by the L.I.A. or is a former employee of the
6 A So some of the papers that you had given us
7 L.I.A. who would also be knowledgeable about the
7 such as the complaint.
8 matters listed in the notice?
8 Q So that would be the plaintiffs' documents
9 MR. SULLIVAN: Objection,
9 as well?
to Q You can answer.
10 a That is right, and there were some documents
n A There may be some other people. I don't
u from some of the other defendants.
12 know who they would be.
12 Q Did you speak with any of the officers or
13 Q You don't know who they would be?
13 directors of the L.I.A. to prepare?
14 A No.
14 A No, I did not.
15 Q Did you do anything to prepare for this
15 Q Did you speak to any former employees or
16 deposition?
16 current employees of the L.I.A. to prepare?
17 A Yes, I did.
17 A No, I did not.
18 Q And what would that be?
is Q And did you meet with counsel?
19 A I reviewed the documents, some of the
19 A Yes, I did.
20 documents that you have received.
20 Q On how many occasions?
21 I have also looked at the minutes and other
21 A Many.
Page 16
Page 17
1 Q And when was the first time that you were
1 A Maybe six times, I don't know.
2 contacted by Mr. Sullivan's office to discuss this
2 Q Were there ever occasions during any of
3 deposition?
3 those meetings when counsel other than counsel
4 MR. SULLIVAN: Objection. You can answer.
4 representing the L.I.A. were present?
5 a I don't remember.
5 A During those meetings, no.
6 Q Do you remember how long ago it was?
6 Q When did you first begin your employment
7 A Maybe a month to a month and a half ago,
7 with the L.I.A.?
8 that range.
8 A In 1961.
9 Q Okay. And over the last month, month and a
9 Q How old were you at that time?
10 half, do you have any idea how many times you met with 10 A About 27.
11 Mr. Sullivan's office?
11 Q All right. What was your first job title
12 MR. SULLIVAN: objection. I think we are
12 there?
13 getting into attorney-client issues here.
13 A I had no job title.
14 MR. RICHARDSON: I am not talking about
14 Q All right. What did you do then?
15 substance at all.
15 A I was a technical writer. I answered
16 MR. SULLIVAN: I understand that, but --
16 inquiries and did whatever I was told by some of the
17 MR. RICHARDSON: Just the number of times he
17 others more senior to me.
18 met.
18 Q And where did you work? What location?
19 MR. SULLIVAN; How many times we elect to
19 A At 292 Madison.
20 meet and discuss is not really relevant, but if you
20 Q Okay. Just a couple of doors down from
21 have a memory, you can give it to him.
21 where --
Page 18
Page 19
1 A Across the street.
1 A About four years.
2 Q And how long did you remain in that position
2 Q Approximately 1970?
3 or did there come a time when you changed your job
3 A No, it wouldn't have been that.
4 responsibilities?
4 Q '69?
5 A From '91 -- from '61 to '65,1 was in that
5 A It would have been '6 -- no, maybe '66.
6 position and in '66 I became manager of technical
6 Q Okay. I understand that as a technical
7 services.
7 writer, answering inquiries, you did that from '61 to
8 Q And what did you do as manager of technical
8 '65?
9 services?
9 A Yes.
10 A It shifted more of the responsibility for
10 Q And then `65 -
11 answering technical questions and managing inquiries
11 A '65 to'66-
12 and that sort of thing to me.
12 Q Okay.
13 Q So you basically managed people who were
13 a - yes.
14 doing what you used to do?
14 Q And then what happened?
15 A No. There weren't that many people, but I
15 A '67 I became manager of advertising and
16 had a direct responsibility to respond to inquiries.
16 technical services.
17 Q Who did you report to as manager of
17 Q And what did you do as manager of
18 technical services?
18 advertising?
19 A I would have reported to Mr. Bruce Fader.
19 A I directed the company, the agency that
20 Q And how long were you manager of technical
20 handled our advertising.
21 services?
21 Q Who was that?
Evans Reporting Service
Page 14 - Page 19
Multi-PageTM
Page 20
Page 21
1 A They had many names over a period of a few
1 A I, of course, had responsibility, I was
2 years. I believe Poppe Tyson was one.
2 corporate secretary, so I had responsibility for the
3 Q Okay. Any others?
3 minutes and that sort of thing, all of the corporate
4 A Just Tyson because they dropped Poppe.
4 records, and as general manager, to see that things
Q Okay. How long did you hold the position of
5 functioned properly in the Association.
manager of advertising and technical services?
6 Q So when you say you had responsibility for
7 A Let's see. About to '76,1 believe.
7 all corporate records, aid that include the documents
8 Q Were you still reporting to Mr. Fader?
8 that were produced in this case?
9 A No, Mr. Fader had left.
9 a Many of them, yes.
to Q Okay. So who were you reporting to at this
10 Q So at least as of 1966 you became custodian
11 point?
11 of those records?
12 A I was reporting to Mr. Kimberly.
12 a That is correct.
13 Q Do you know his first name?
13 mr . SULLIVAN: Objection. I think he said
14 A John Kimberly.
14 '76.
15 Q And did your job change in 1976?
15 Q '76,1 am sorry, just so the record is
16 A It did. I became secretary and general
16 clear.
17 manager.
17 As of 1976 you became custodian of those
is Q How long did you hold that position?
18 records?
19 A I held that until '79.
19 A That is correct, for that period of time.
20 Q And what did you do, what was your job
20 Q So were those records maintained in the New
21 responsibilities as secretary and general manager?
21 York office?
Page 22
Page 23
1 A That is right.
1 about?
2 Q Had the address at the time that you were
2 A Anything from battery-powered trucks,
3 secretary and general manager changed to across the
3 vehicles, trying to introduce a new vehicle, roofing
4 street?
4 and waterproofing applications, that sort of thing.
5 A No.
5 Q Did these projects have to do with the use
6 Q You were still at 291?
6 of lead in those projects?
7 A 292.
7 a Absolutely.
8 Q 292, sorry.
8 Q And in 1987 did your job title change?
9 And what happened in 1979?
9 a Yes. I became executive director.
10 A '79 I was made vice-president.
10 Q And that lasted until when?
11 Q How long were you vice-president?
11 A Until the present time.
A Until 1987.
12 Q All right. And do you now have custody of
Q Were you still custodian of records as vice-
13 the records or is that still the responsibility of
14 president?
14 somebody else?
15 A No. We had a secretary.
15 A I do have custody of the records now.
16 Q So did your job change in any way?
16 q And what was your -- what is your job
17 A Yes.
17 responsibilities as executive director of the L.I.A.?
18 Q In what way?
18 A I manage the day-to-day affairs of the
19 A I did a great deal of travel and was busy
19 Association.
20 with programs, projects for the Association.
20 I see that the programs are carried out,
21 Q What type of projects were you talking
21 that the financing are in order and that the wishes of
1 the Board and Chairman are carried forward.
2 Q When was the L.I.A. incorporated? 3 A In 1961.
4 Q Before that was it a company or was it -- 5 A It was an unincorporated association. 6 Q Okay. And what state did it incorporate 7 itself in? 8 A New York.
9 Q Has the name of the Association changed in 10 any way over the years?
11 A Tne only change was to add Inc. at the end.
12 Q And when was the company first created? 13 A Lead Industries Association was created in 14 1928. 15 Q The Association?
16 A That is correct. 17 MR. SULLIVAN: Just for clarification, you
18 said when was the company created. ' Did you mean the corporate structure or -- MR. RICHARDSON: The Association.
21 BY MR. RICHARDSON:
Page 24 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16
17
18
19
20
21
Page 25 Q When was the Association created and it was
in 1928. Now, this was not a for-profit association;
is that correct? A It was a not for-profit association.
Q Did it have offices in anyplace other than New York?
A No. MR. RICHARDSON: Mark this. (Whereupon, Smith Deposition Exhibit Number
2 was marked for identification.)
BY MR. RICHARDSON: Q Why was the Association created in 1928?
mr . SULLIVAN: objection. If you know. A I can't answer that. I don't know. Q Okay. When the Association was created in
1928, did it have a Board of Directors? A Yes, it did. Q Do you know what the code of the lead
industries is? MR. SULLIVAN: objection. If you know.
Page 20 - Page 25
Evans Reporting Service
Multi-PageTM
Page 26
Page 27
1 A No.
1 of January 19th, 1934.
2 MR. s u l u v a N: Keep your voice up.
2 BY MR. RICHARDSON:
3 A I am sorry, no.
3 Q If I can refer you to number 2 as it is
4 Q All right. Let me show you what has been
4 numbered at the top of the page. The next page.
5 marked as Exhibit Number 2, sir. Why don't you take a
5 A Okay.
6 moment.
6 Q Under the category Article 4, inspection of
7 Let me ask you when you are finished if you
7 records.
8 recognize that document?
8 MR. SULLIVAN: Just to note, this is not a
9 (Whereupon, document tendered to witness.)
9 document that we produced. It does not have an L.I.A.
10 A Yes.
10 document number on it.
11 Q If I can refer you to --
11 MR. RICHARDSON: I understand. Iam not
12 MR. SULLIVAN: Is that yes, you do recognize
12 asking whether he has produced it or not.
13 it?
13 BY MR. RICHARDSON:
14 THE WITNESS: Yes, I do.
14 Q Is it your understanding, sir, that the
is Q --to number 2.
15 books and records of the L.I.A. were available for
is MR. CURTIS: Could you identify the
16 public inspection from the date of its inception?
17 document?
17 A That is certainly what it says here.
18 MR. RICHARDSON: I am sorry, yes.
18 Q It does.
19 Deposition Exhibit Number 2 is the
19 Do you have any reason to believe
20 Constitution and Bylaws of the Lead Industries
20 otherwise?
21 Association dated as of November 14th, 1928 revised as
21 A Open to inspection. I want to correct
Page 28
Page 29
1 myself here. It says that the books and records shall
1 Q Okay. Mr. Smith, the documents that the
2 be open to inspection at all times by the departments
2 L.I.A. produced in these cases, were those documents
3 or bureaus of government interested.
3 produced in other litigation?
4 Q Okay. Do you know why the books and records
4 A Yes.
5 would intentionally be made available to any
5 Q Were there any documents produced in other
6 government or bureaus of government who may be
6 litigation that was not produced in these cases?
7 interested?
7 A There would have been some, yes.
8 MR. SULLIVAN: Objection. Only if you
8 Q And what documents would they have been?
9 know.
9 A These would have been items on the microfilm
10 A I do not know.
10 that pertain to the --
11 Q And on page 3 under Article 6, membership,
11 MR. SULLIVAN: Objection. Let me -- if he
12 it appears that this section distinguishes between
12 knows what was produced in the other cases, I think he
13 voting and nonvoting members.
13 can testify to it.
14 Was there a classification of associate
14 MR. Ric h ar d s o n : it sounds like he knows -
15 members versus full voting members in the Lead
15 MR. SULLIVAN: But the attorneys in this
16 Industries Association?
16 session have handled the document production.
17 MR. SULLIVAN: objection. If you know.
17 If he has a specific knowledge as to what
18 I believe the document speaks for itself,
18 was produced in each case, he can testify to it. But
19 but if he has personal knowledge beyond that --
19 if he doesn't, I think he should not speculate.
20 MR. RICHARDSON: That is right.
20 MR. RICHARDSON: I have an objection to you
21 A I do not know.
21 instructing your witness now to answer during the
Page 30
Page 31
1 course of your deposition.
1 Q Let me ask you the question again.
2 He was in the middle of answering the
2 Were there any documents that were produced
3 question and you just interrupted and tried to tell
3 in litigation that you are aware of that was not
4 him what to say, and I think that is totally
4 produced in this litigation?
5 improper.
5 MR. SULLIVAN: if you know.
6 MR. SULLIVAN: I don't think that is a
6 A I don't know specifically, but -- well, that
7 proper characterization.
7 is the answer. I don't know.
8 As you are well aware in litigation, the
8 Q What was on the microfilm that you were
9 attorneys handle document production issues.
9 talking about, the microfiche?
10 MR. RICHARDSON: This man is custodian of
10 A There were 10 microfilms, cassettes.
11 the records and he knows what records were produced in
11 Q Okay.
12 litigation, and he was about to finish his answer and
12 A Five of which pertained to the historical
13 you interrupted him and trying to suggest --
13 documents, the records, the minutes, and those were
14 MR. SULLIVAN: I believe he was answering
14 produced for you, is my understanding.
15 what was turned over to us. That is something the
15 Q Okay. What about the other five?
16 attorneys handled.
16 A The other five deal with die ledgers and
17 If he has specific knowledge, he can
17 financial records of the Association from 1928 to
is testify.
is about the '70s.
19 MR. RICHARDSON: He does and he was
19 Q Those were not produced, to your knowledge?
20 testifying.
20 A To my knowledge -
21 BY MR. RICHARDSON:
21 MR. SULUVAN: Objection. If you
Evans Reporting Service
Page 26 - Page 31
Multi-PageTM
Page 32
Page 33
1 specifically know what was given from the records --
1 A It depends on the document. Some things are
2 MR. RICHARDSON: He just answered the
2 retained according to the IRS requirements for up to
3 question.
3 seven years.
4 MR. SULLIVAN: if he specifically knows.
4 Some letters and chron. file and things such
A I don't know.
5 as that are kept for about three years.
MR. RICHARDSON: Again, I have to object to
6 Q Okay. With respect to correspondence
7 your testifying on behalf of your client.
7 generated by employees of the L.I.A., what was the
8 MR. SULLIVAN: I object to that
8 record retention policy with respect to those?
9 characterization.
9 MR. SULLIVAN: objection. Just time frame.
10 BY MR. RICHARDSON:
10 A You would have to tell me --
11 Q Were there any documents that used to be in
11 Q Anytime.
12 the possession of the L.I.A. that are no longer in its
12 All right. Let me start back between the
13 possession because of a document retention policy, for
13 date of its inception up until the 1970s?
14 instance?
14 A For that period I have to -- no answer for
15 A We do have a document retention policy,
15 you there. I don't know what the document retention
16 yes.
16 policy was.
17 Q And what is that?
17 Q All right.
18 A After a certain period of time, certain
18 A I am ready for a glass of water.
19 documents are either discarded or dumped.
19 MR. RICHARDSON: Let's go off the record for
20 Q And when you say a certain period of time,
20 a second.
21 what is that?
21 (Whereupon, discussion off the record.)
Page 34
Page 35
1 THE v id e o g r a p h e r : We are back on the
1 knowledge, sir, I am asking you as the corporate
2 record. The time is 9:40.
2 designee of the L.I.A., do you or the L.I.A. have an
3 BY MR. RICHARDSON:
3 understanding of what that term means and if you do,
4 Q Mr. Smith, isn't it true that lead as a
4 please state that.
5 metal is toxic?
5 A We do not have one.
6 MR. SULLIVAN: Objection. You can answer.
6 Q Isn't it true, sir, that the L.I.A., and I
7 A Yes, lead is toxic when ingested, it can
7 am using that acronym instead of saying Lead
8 become toxic.
8 Industries Association throughout the deposition, but
9 Q And what do you mean by toxic?
9 isn't it true that the L.I.A. knew as of the date of
10
MR. s u l u v a N:
objection.
10 its inception that lead was toxic or is toxic?
11 A I would ask you what you mean by toxic.
11 MR. Su l l iv a n : objection. If you know.
* Q Well, I am asking you to define the term as
12 A I believe that it probably did.
you understand it.
13 MR. RICHARDSON: Mark this.
14 MR. SULLIVAN: Objection. You are the one
14 (Whereupon, Smith Deposition Exhibit Number
15 who asked the question. I think you ought to have a
15 3 was marked for identification.)
16 definition.
16 BY MR. RICHARDSON:
17 Q My question to you, sir, is to define the
17 Q Mr. Smith, I am going to show you what has
18 term as you understand it.
18 been marked as Exhibit Number 3. For the record, it
19 MR. SULLIVAN: if you have a medical
19 is a copy of the Directors meeting minutes dated May
20 knowledge or --
20 29th, 1929.
21 Q I am not asking you for a medical
21 I ask you to take a look and, first of all.
Page 36
Page 37
1 whether or not you recognize that document.
1 A Yes.
2 (Whereupon, document tendered to witness.)
2 Q Is that correct?
3 A Yes.
3 A That is the indication, yes.
4 Q You do recognize that document?
4 Q Was St. Joseph's -- do you know, was --
5 A I do, yes.
5 strike it, let me rephrase it.
6 Q It has the L.I.A.Bates stamp number at the
6 Was St. Joseph's Company a mining concern?
7 bottom?
7 MR. CURTIS: objection.
8 A That is correct.
8 MR. SULLIVAN: objection. If you know. You
9 Q Okay. Let me refer you, sir, to the first
9 are talking 1929?
10 page. It has present and representing the name of a
10 MR. RICHARDSON: Yes.
11 person and the company that person represents.
11 A St. Joseph's Company?
12 Are these members of tne Board or were these
12 Q The St. Joseph's Lead Company, was that a
13 members of the Board of Directors as of that date?
13 mining concern?
14 MR. SULLIVAN: if you know.
14 A I believe it was.
15 A I believe they would have been, yes.
15 Q And the American Smelting and Refining was a
16 Q Okay. And as is listed here, Mr. Clinton
16 smelterer at that time, and refiner?
17 Crane at that time was Chairman of the Board of
17 A I believe so.
18 Directors?
18 Q Do you know what United Metals Selling
' A That is what this says.
19 Company was at that time?
' Q And he also represented St. Joseph's Lead
20 A I do not.
21 Company?
21 Q Do you know what Eagle-Picher Lead Company
Page 32 - Page 37
Evans Reporting Service
Multi-PageTM
Page 38
Page 39
1 was at that time?
1 Board of Directors meetings simply paint manufacturers ~ `
2 A I wasn't familiar and I am not familiar with
2 and not involved in the mining or smeltering of lead?
3 what they were doing.
3 MR. SULUVAN: Objection, time frame.
4 Q Okay. Your review of the L.I.A. documents,
4 Q To your knowledge. I am talking about May
5 did that indicate to you at any time what the Eagle-
5 of'29?
6 Picher Lead Company was?
6 A I don't know.
7 MR. SULLIVAN: From 1928 to the present or
7 Q I am going to refer you to page 2, sir.
8 to 1980?
8 You notice under the secretary's report
9 MR. RICHARDSON: That is right, that is
9 number 3 there is a section entitled lead hazard?
10 right.
10 A Yes.
11 A Yes, at one time or another, yes.
11 Q This document seems to indicate, does it
12 Q And what was that?
12 not, that as of May of 1929 the L.I.A. was at least
13 MR. SULLIVAN: if you know.
13 aware that there was such a thing as a lead hazard?
14 A I believe they were manufacturers of
14 MR. DAVID: Object to the form of the
is pigment.
15 question.
16 Q Okay. And the National Lead Company, did
16 MR. SULLIVAN: Objection.
17 your review of the records indicate whether or not
17 Q Isn't that correct?
18 that company was involved in the mining of lead ore?
18 A Would you repeat that?
19 A Not to my knowledge.
19 Q Yes. On page 2 of this document under the
20 Q From your review of the documents, are any
20 category entitled, Secretary's Report under number 3
21 of these companies listed as being present at these
21 there seems to be a section called lead hazard.
Page 40
Page 41
1 It states, and I will read it to you, of
1 Q Okay.
2 late, the lead industries have been receiving much
2 MR. RICHARDSON: Mark that,please.
3 undesirable publicity regarding lead poisoning,
3 (Whereupon, Smith Deposition Exhibit Number
4 period.
4 4 was marked for identification.)
5 From your review of the documents and as a
5 BY MR. RICHARDSON:
6 representative of the L.I.A., do you know whether or
6 Q Mr. Smith, I am now giving you what has been
7 not the L.I.A. was aware as of May of 1929 that there
7 marked as Exhibit Number 4. I am going to try to keep
8 was such a disease called lead poisoning?
8 track of these exhibit numbers here.
9 MR. SULLIVAN: Objection.
9 For the record, this is Exhibit A-3 of the
10 A I believe that the Association was aware
10 Directors meeting minutes dated September 11th, 1929.
11 that there were claims of lead poisoning at that
11 Do you recognize that document, sir?
12 time.
12 A It looks like an L.I.A. document, yes.
13 I believe they also were trying to undertake
13 Q If I can refer you, sir, to page 2. At this
14 an effort to Find out what the facts truly were.
14 time, September of 1929, isn't it true that Mr. Felix
15 Q Okay. Isn't it also true, sir, that at that
15 Wormser was the Secretary of the L.I.A.?
16 time the L.I.A. was aware that there was such a thing
16 A I am sorry, repeat that.
17 as childhood lead poisoning?
17 Q As of the date of this document, September
18 MR. s u l l iv a n : Objection. If you know.
18 of 1929, isn't it true that Felix Wormser was the
19 A I am not aware of that. I am sorry.
19 Secretary of the L.I.A.?
20 Q You don't know one way or the other?
20 a I believe he was.
21 A No.
21 Q On page 2 of this document it states that
Page 42
Page 43
1 Dr. Joseph C. Aub, A-u-b, sent a letter to Mr. Crane,
1 MR. DAVID: I am going to just interpose an
2 and I believe earlier he was the Chairman of the Board
2 objection to the characterization of the document.
3 of Directors, at least as of May of 1929; isn't that
3 Q Do you know whether or not the L.I.A. was
4 correct? Seeking to have --
4 aware that Dr. Aub was being funded by now-members of
5 MR. SULLIVAN: Is that a question?
5 the L.I.A. for research on lead poisoning?
6 MR. RICHARDSON: I thought he answered it.
6 MR. SULLIVAN: objection.
7 BY MR. RICHARDSON:
7 A I do not know.
8 Q Isn't it true as of May of 1929 Mr. Crane
8 Q Further down in that same paragraph the
9 was the Chairman --
9 document states that this research was part of a
10 A That is what the paper shows.
10 program to leam the facts about lead poisoning and
11 Q All right. Now, this document seems to be
11 was designed to help the medical profession take a
12 discussing a letter presented to the Secretary from
12 more intelligent attitude towards that ailment.
13 Dr. Joseph Aub of Boston relative to continuing the
13 My question to you, sir, is, do you know why
14 medical research on lead poisoning initiated several
14 the research was designed to help the medical
15 years ago and supported privately by some of the
15 profession as opposed to informing or as opposed to
16 members of the Lead Industries Association, and my
16 obtaining the facts about lead poisoning?
17 question to you, sir, is, are you aware of who those
17 MR. SULLIVAN: objection.
18 members were of the L.I.A. who were funding Dr. Aub's
18
MR. WHITEHEAD: Object to that as
19 research on lead poisoning prior to the creation of
19 mischaracterization, argumentative and misstates the
20 the L.I.A.?
20 fact.
21 A I am not.
21 MR. RICHARDSON: I am not arguing anything.
Evans Reporting Service
Page 38 - Page 43
Multi-PageTM
Page 44
Page 45
1 I am just asking the question.
1 5 was marked for identification.)
2 BY MR. RICHARDSON:
2 MR. SULLIVAN: Listen to each question.
3 Q If you don't know the answer --
3 Don't respond. Just listen to each question
4 MR. SULLIVAN: if you have specific
4 carefully.
knowledge of what they knew back in -
5 Are you done with this document?
A I do not.
6 MR. RICHARDSON: Yes, sir.
7 MR. SULLIVAN: That is your answer,
7 BY MR. RICHARDSON:
s A It is a compound question besides.
8 Q The next exhibit that I am showing you for
9 Q Let me rephrase it.
9 the record is a copy of the Director meetings minutes
10 Isn't it true, sir, that the L.I.A. was only
10 dated October 11th, 1930.
11 interested in funding medical research for the purpose
11 I would ask you to take a moment and look at
12 of influencing the medical profession to support the
12 that and see if you recognize that as a document
13 interests of the lead industries?
13 produced by the L.I.A.
14 MR. SULLIVAN: objection.
14 (Whereupon, document tendered to witness.)
15 A I can't answer that. That is not --
15 MR. CALDWELL: Ron, do these have Bates
16 q Do you know one way or the other?
16 numbers on them?
n MR. CURTIS: same objection.
17 MR. RICHARDSON: They do.
is a The same objection, yeah. I don't -- I
18 MR. CALDWELL: would you mind reading the
19 don't know.
19 first page of the Bates when you identify the
20 Q Okay. That is fair enough.
20 document?
21 (Whereupon, Smith Deposition Exhibit Number 21 MR. RICHARDSON: Sure.
Page 46
Page 47
1 MR. SULLIVAN: Just for the record, it would
1 MR. DAVID: objection.
2 be L.I.A. 00034.
2 MR. SULUVAN: if you know.
3 MR. CALDWELL: Thank you.
3 A Well, I do not know.
4 MR. w h it e h e a d : Could I have Exhibit 1 for a
4 Q From your review of the documents, are you
5 second.
5 aware of any indication that the L.I.A. was aware that
6 MR. DAVID: Madam Court Reporter, while the
6 lithopone existed as a lead-free substitute for
7 witness is reviewing that document, would you please
7 paint?
8 read the last question.
8 MR. DAVID: Objection.
9 (Whereupon, the record was read by the
9 MR. SULLIVAN: Objection as to the
10 reporter.)
10 definition of lead-free.
11 MR. DAVID: Thank you.
a A If you are talking about this document and
BY MR. RICHARDSON:
12 this item number 3?
Q This document was produced by the L.I.A.; is
13 Q Yes.
14 that correct?
14 A It does not say a lead-free pigment at all.
15 A It looks to be, yes.
15 Q Okay. It does seem to say that it is
16 Q On page 2 under number 3 the document
16 suggested, it is claimed that that paint has a life 50
17 appears to discuss a product by the name of lithopone,
17 percent better than white lead.
18 1-i-t-h-o-p-o-n-e.
18 A That is what it says.
19 Did the L.I.A. know in 1930 that there was a
19 MR. Su l l iv a n : objection. The document
20 lead-free substitute for paint called lithopone?
20 speaks for itself.
21 MR. SULLIVAN: Objection.
21 Q Now, in the next page under white lead it
Page 48
Page 49
1 says the most serious example of substitution in lead
1 Q You can answer.
2 is the substitution of inferior materials for white
2 MR. SULUVAN: if you have knowledge from
3 lead in paint, for six years the demand for white lead
3 the documents you have reviewed.
4 has declined instead of grown.
4 A From the document here, it does indicate
5 From your review of the L.I.A. documents,
5 that white lead was declining, yes.
6 the documents the defendants produced and the
6 Q Now, if white lead was declining and the
7 documents the plaintiffs produced, do you agree that
7 L.I.A. was aware that there was such a thing as lead
8 the demand for white lead was declining in the 1930s?
8 poisoning, why didn't the L.I.A. as of 1930 simply
9 MR. SULLIVAN: objection. Are you asking if
9 stop using white lead?
10 he personally agrees or if the L.I.A. had the
10 MR. SULLIVAN: objection.
11 knowledge?
11 MR. CURTIS: Object to the question.
12 Q You are here on behalf of the L.I.A. and you
12 MR. SULLIVAN: objection.
13 reviewed these documents on behalf of the L.I.A.
13 A There are three questions there.
14 My question to you, sir, is, based on your
14 MR. SULLIVAN: it is a compound question,
15 review of all of those documents, is it your testimony
is Q No, it is only one question there.
16 that you do conclude that the sale of white lead was,
16 Why did the white lead -- why did the L.I.A.
17 in fact, declining in the 1930s?
n continue using white lead in paint when the sale of
is MR. SULLIVAN: objection. He is here to
18 the product was declining and it was aware that white
testify as to what the corporate knowledge is and he
19 lead was causing lead poisoning?
. can only look at what the history is and tell you from
20 MR. SULLIVAN: Objection. There is a
21 that.
21 foundation that L.I.A. never made a product that
}age 44 - Page 49
Evans Reporting Service
Multi-PageTM
Page 50
Page 51
1 was --
1 smelters as it affects an important outlet for lead.
2 MR. RICHARDSON: I understand.
2 My question to you, sir, is, from your
3 MR. SULLIVAN: You phrased it as if we
3 review of all of the documents that you have talked
4 produced a product. You are well aware that we have
4 about so far, do you agree that the miners and
5 never produced a product, we have never made a lead
5 smelterers saw the sale of the white lead as an
6 product.
6 important outlet for them?
7 BY MR. RICHARDSON:
7 MR. SULUVAN: objection. You are asking
8 Q You can answer the question.
8 him to characterize a third party's knowledge.
9 A I have no knowledge that they continued to
9 Q You can answer the question, if you know.
10 produce white lead in the face of what you were saying
10 a I don't.
u there.
11 Q Do you know whether or not the L.I.A.
12 Q All right. The very next sentence or
12 perceived the sale of white lead to be an important
13 sentence after that says the size of the domestic
13 outlet for the mining and smelterer members of that
14 paint market and the outstanding excellence of white
14 association?
is lead as a paint pigment would certainly warrant an
15 MR. SULLIVAN: if you know from the
16 attempt to correct the situation.
16 documents you have reviewed.
17 Then it skips a sentence - well, it
17 A I do not know, but this document says that
18 doesn't, but I am going to skip a sentence and read as
18 it was of interest.
19 follows, although it is true only a few of our members
19 Q Okay. Do you know what percentage of the
20 are directly engaged in the white lead business, the
20 members of the L.I.A. were engaged in the white lead
21 subject is of great importance to the lead miners and
21 business in 1930?
Page 52
Page 53
1 A I do not.
1 Joseph Lead Company at this meeting.
2 (Whereupon, Smith Deposition Exhibit Number
2 Did all three of those individuals or were
3 6 was marked for identification.)
3 all three of those individuals members of the Board of
4 BY MR. RICHARDSON:
4 Directors as of September of 1931 ?
5 Q I am showing you the next numbered exhibit,
5 MR SULLIVAN: Objection. If you know.
6 sir.
6 A I do not know.
7 It is, for the record, a copy of Directors
7 Q Could members of the L.I.A. attend the Board
8 meeting minutes dated September 30th, 1931. It has
8 of Directors meetings if they were not members?
9 the Bates stamp L.I.A. 47 on the first page.
9 MR. SULLIVAN: Time frame only. Objection
10 (Whereupon, document tendered to witness.)
10 to time frame. 1931?
11 A Yes.
11 MR. RICHARDSON: At any time.
12 Q Do you recognize this as a document being
12 MR. DAVID: it is also vague.
13 produced by the L.I.A.?
13 Did members of the L.I.A. attend meetings of
14 A I believe this is.
14 the Board if they weren't members?
15 Q On the first page, sir, I notice that under
15 BY MR. RICHARDSON:
16 the list of attendees to the meeting it appears to be
16 Q If they weren't members of the Board of
17 in some cases two or three members of the same company 17 Directors.
18 attending the meeting.
18 MR. DAVID: Okay.
19 Do you know whether or not they all were
19 A I believe they could, but I couldn't tell
20 members of the Board of Directors?
20 you for sure.
21 For instance, it has three members from St.
21 Q You don't know?
Page 54
1 A No, I do not know.
1 A I don't know.
2 Q On what appears to be L.I.A. 50, if you can
2 Q Okay. The very next paragraph talks about
3 turn to that page, it states that under number 5, that
3 an issue or something called Lead.
4 there was a publication of a book entitled. Useful
4 Wasn't that a magazine that the L.I.A.
5 Information About Lead.
5 published?
6 Did the L.I.A., in fact, publish a book
6 A That is right.
7 under that title?
7 Q And they were publishing it as of the date
8 A I believe they did.
8 of this document, September 1931?
9 Q Okay. And have you ever had a chance to see
9 A Yes.
10 that book?
10 Q Okay. In fact, you produced several copies
11 A I have.
11 of that magazine to us; isn't that true?
12 Q Have you reviewed it?
12 A I did, we did.
13 A Yes, yes.
13 Q Is there a complete set of the Lead
14 Q Was there any indication in that book about
14 magazines that exist today?
15 the hazards of lead products including lead paint
is A There is one that is in the hands of our
16 products?
16 legal counsel.
n MR. SULLIVAN: objection. If you have a
17 Q Okay. Would that be Mr. Sullivan's office?
18 specific memory.
18 A That is correct.
19 A I don't recall it.
19 Q Have you had a chance to took at those
20 Q Isn't it true that there is no indication?
20 issues?
21 MR. SULLIVAN: objection.
21 A I have not looked at them for a long time.
Page 55
Evans Reporting Service
Page 50 - Page 55
Miilti-PageTM
Page 56
Page 57
1 Q Okay. Do you know whether or not there is
1 annual convention of the American Society of Sanitary
2 any indication about the hazards of lead paint
2 Engineering having received word that lead poisoning
3 products in any of the issues of Lead?
3 would be discussed, but the topic was zinc poisoning
4 A I don't know.
4 from brass pipes and the comment on lead was not
Q On the next page, L.I.A. 51 under number 6,
5 sufficient to warrant stirring up the subject.
medical research, it talks about a visit to Boston
6 My question to you, sir, is, isn't it true
7 discussing the subject of lead poisoning in infants
7 that the LXA. adopted a policy never to initiate any
8 with some of the medical profession there.
8 discussions to the public about the hazards of lead
9 Isn't it true, sir, that as of September
9 unless it was done so in the form of a defense?
10 1931 the L.I.A. was aware that infants could be lead
10 MR. SULLIVAN: objection. That is
n poisoned?
11 ridiculous. That is argumentative. That isn't a
12 MR. SULLIVAN: objection.
12 legitimate fact question. .
13 MR. DAVID: object to the form of the
13 Q If you know, answer.
14 question as vague and indefinite and calls for
14 MR. SULLIVAN: He is here as a fact witness
15 speculation on the part of the witness.
15 to talk about the historical situation.
16 Q You can still answer, sir.
16 A Do you have any document that supports
17 A I believe the Association was aware that the
17 that?
18 infants could become poisoned by lead, yes.
18 Q That is not my question to you, sir.
19 Q Let me refer you down to the last paragraph
19 My question to you, sir, isn't it true -- if
20 of that same section.
20 you don't know, I don't want you to speculate, but
21 The Secretary states that he attended the
21 isn't it true that the L.I.A. adopted a policy that it
Page 58
Page 59
1 would never publicly inform anyone about the hazards
1 Exhibit 452.
2 of lead, including lead paint products, unless it was
2 Have you seen this document before?
3 required to do so as a defense?
3 (Whereupon, document tendered to witness.)
4 MR. SULUVAN: Objection. There are so many
4 A It has a Lead Industries Association
5 things wrong with that question as to what definition
5 letterhead,
6 of defense is, positions ~
6 MR. s u l l iv a n : He asked you have you seen it
7 Q You can answer.
7 before.
8 A I have never seen any such things in any of
8 A No, I have not seen this.
9 the documents that I have reviewed. I wasn't there,
9 Q Okay. Do you know who Dr. Kehoe was?
10 you realize.
10 A Yes, I knew of him.
11 Q Okay.
11 Q And whenyou say you knew of him, what do
' MR. RICHARDSON: Mark this.
12 you mean?
(Whereupon, Smith Deposition Exhibit Number
13 A I never met him.
14 7 was marked for identification.)
14 Q Okay. From your review of the documents,
15 BY MR. RICHARDSON:
15 the defendants' documents, the L.I.A.'s documents and
16 Q I am now showing you the next numbered
16 the plaintiffs' documents, are you able to state --
17 deposition exhibit
17 are you able to clarify what the Secretary of the
18 For the record, this is a letter dated
18 L.I.A. was interested in by asking for a definition of
19 January 3rd, 1932 from the Secretary of the L.I.A.,
19 lead poisoning?
20 Mr. Wormser, to a Dr. Robert A. Kehoe, the University
20
MR. SULLIVAN: You are asking him to talk
21 of Cincinnati, and the document number is Plaintiff's
21 about a letter that he has never seen before.
Page 60
Page 61
1 MR. RICHARDSON: I asked him to tell me what
1 Q I am sorry?
2 his review of the documents has indicated to him
2 A I said I really don't understand it.
3 concerning this letter, not what some person may have
3 Q You don't understandthe question?
4 said.
4 a No, how it relates to L.I.A. and my review
5 MR. SULLIVAN: You are asking him to explain
5 of it.
6 something that is in a letter that he has never seen
6 Q So you have not seen anything from your
7 before and asking him to take that information and
7 review to shed any light on it?
8 apply it to other documents.
8 A No, not at all.
9 MR. RICHARDSON: I am asking the witness,
9 MR. SULLIVAN: That is not what he said. He
10 Mr. Sullivan, to please inform everyone here as to
10 said he did not understand your question.
11 whether or not your review of all or the documents has 11 MR. RICHARDSON: He did not say that, Mr.
12 shed any light upon what is meant in this letter?
12 Sullivan. I would appreciate it if you would not --
13 MR. CURTIS: I object to the form of the
13 MR. SULLIVAN: I think you are
14 question.
14 mischaracterizing.
15 MR. SULLIVAN: Yeah, objection. It is
15 MR. WHITEHEAD: I am going to object to the
16 vague, it is ambiguous.
16 question. I have no idea what shed light on and --
17 BY MR. RICHARDSON:
17 MR. RICHARDSON: You are an attorney, sir.
18 Q That is all right, but if you understand it,
18 You should know what shed light on means.
' sir, you can answer it.
19 BY MR. RICHARDSON:
MR. DAVID: It is 63 years later.
20 Q That is okay. You have answered the
21 A I really don't understand it.
21 question.
Page 56 - Page 61
Evans Reporting Service
Multi-PageTM
Page 62
Page 63
1 MR. DAVID: I suppose it means different
1 MR. SULLIVAN: objection.
2 things to different people.
2 A That is what it says, yes.
3 MR. SULUVAN: Listen to the questions.
3 Q It also seems to suggest that as of
4 MR. Ric h ar d s o n .- Let's mark this now.
4 September 1932, there were 59 cases of lead poisoning
s (Whereupon, Smith Deposition Exhibit Number
5 as reported by the Baltimore Health Department; isn't
6 8 was marked for identification.)
6 that correct?
7 BY MR. RICHARDSON:
7 MR. DAVID: object to the form of the
8 Q I am next showing you, sir, the next
8 question.
9 numbered exhibit.
9 MR. SULUVAN: Objection.You are asking
10 It is a letter under L.I.A. letterhead from
10 him to say that is what the document says?
11 the Secretary, which I believe is Dr. Wormser, the
11 MR. RICHARDSON: He heard my question, Mr.
12 signature is light, to members of the Lead Industries
12 Sullivan.
13 Association dated September 28th, 1932. The Bates
13 BY MR. RICHARDSON:
14 stamp number is L.I.A. 21802.
14 Q Do you have any problems with my question?
is Do you recognize that as being a document
15 MR. DAVID: I have a problem with your
16 produced by the L.I.A., sir?
16 question as to what the letter suggests.
17 (Whereupon, document tendered to witness.)
17 MR. RICHARDSON: You objected. Fine:
18 A I believe it was. It certainly looks like
is A Would you repeat the question, please.
19 it.
19 Q Sure. Isn't it true, sir, that this
20 Q And you agree that this was sent to members
20 document in the first sentence states, "During
21 of the L.I.A.; isn't that correct?
21 September 1932, 59 cases of lead poisoning of unusual
Page 64
Page 65
1 origin were reported by the Baltimore Health
1 that discusses the L.I.A.'s concern for those children
2 Department?"
2 in Baltimore?
3 A That is what it says.
3 MR. SULLIVAN: Objection, objection.
4 Q Thank you.
4 Q You can answer that question.
s Do you know in the one, two, three, four,
5 MR. SULUVAN: Just look at this, read the
6 fifth paragraph, the first sentence, do you know what
6 document and then you can respond to the specific
7 is meant by the phrase -- well, I will read the
7 question.
8 sentence.
8 MR. DAVID: I am going to object to the
9 Although the Baltimore authorities have the
9 question.
10 situation well in hand and no further trouble is to be
10 The document speaks for itself and secondly,
11 expected there, many other cities in the United States
11 it presumes that if the document does not have some
12 undoubtedly duplicate the Baltimore conditions which
12 mention of a concern, that the L.I.A. was not
13 led to the outbreak.
13 concerned, and thirdly, it talks about - the question
14 Do you know what is meant by no further
14 deals with childhood or children, whereas, I don't
15 trouble?
15 think it was specified that the 59 reports that are
16 MR. CURTIS: Object to the form of the
16 stated in there were of childhood lead poisoning.
17 question.
17 MR-RICHARDSON: Anything else?
18 A I do not.
is MR. DAVID: No, I think that will do it, but
19 MR. SULLIVAN: l will put in an objection.
19 I will do it every time if you continue with this kind
20 lam sorry, I was reading the document.
20 of questioning.
21 Q Do you see anything in this document, sir.
21 MR. RICHARDSON: You can do whatever you
Page 66
Page 67
1 want, sir.
1 either to destroy their old battery boxes, or to dump
2 MR. DAVID: well, I will do whatever I
2 them where they cannot be reclaimed for fuel by
3 want.
3 persons apt to use them for that purpose.
4 MR. SULLIVAN: okay. I believe the question
4 The 6th paragraph goes on to say that it is
5 was, does this document reflect L.I.A.'s concern about
5 hoped that through the widespread cooperation of our
6 the people who were poisoned; is that correct?
6 members we can avoid a duplication of the Baltimore
7 BY MR. RICHARDSON:
7 lead poisoning episode in other cities which would
8 Q Is there any indication in this document
8 only result in additional alarming publicity to the
9 that you are aware of that shows L.I.A.'s concern for
9 injury of the lead industries.
10 the children who were poisoned?
10 Isn't that what it says?
11 A Yes.
11 A That is what it says, yes.
12 MR. SULLIVAN: objection. I think it is
12 Q Thank you.
13 more than children, but go ahead if you can answer.
13 A I believe it indicates that they were
14 A I believe there was certainly the last
14 interested in eliminating that problem or helping to
15 sentence of the one, two, three, four, fifth paragraph
is solve it.
16 as well as the entire 6th paragraph seem to indicate
16 Q It appears to me they were only interested
17 that.
17 in the -- well, strike that.
18 Q Well, let's read it.
18 MR. DAVID: I am going to object further to
19 It is, therefore, suggested that whenever
19 the line of questioning with respect to Exhibit 8 in
20 possible you advise storage battery scrap dealers
20 that it doesn't make reference to lead paint, and if I
21 about the Baltimore circumstances, requesting them
21 read the court's earlier order in this case, the case
Evans Reporting Service
Page 62 - Page 67
Multi-PageTM
Page 68
Page 69
1 is limited to lead paint.
1 Directors meeting minutes dated September 28th, 1932,
2 MR. RICHARDSON: I Object to that
2 and it is Bates stamped L.I.A. 82.
3 characterization of any court order or what the issues
3 BY MR. RICHARDSON:
4 in this case is all about.
4 Q After your review, my question would be, do
MR. DAVID: Well, you can object to the
5 you recognize this as a document produced by the
, characterization of the court order, but the fact of 7 the matter is that the court order deals with lead
8 paint, and this case deals with lead paint. 9 It doesn't deal with lead, per se, nor does
to it deal with lead pigment, per se, nor does it deal 11 with members or the L.I.A. who are not defendants in
12 this case.
13 MR. RICHARDSON: I totally disagree. Now, 14 having said that, let's move on. 15 MR. d a v id : I wonder why. 16 MR. RICHARDSON: Okay. 17 (Whereupon, Smith Deposition Exhibit Number 18 9 was marked for identification.)
19 MR. RICHARDSON: I believe I have marked 20 the next exhibit and have shown it to the witness. 21 For the record, it is a copy of the
6 L.I.A.? 7 (Whereupon, document tendered to witness.) 8 MR. DAVID: I would also like to make the
9 request on the record that, in the future and even
10 including this afternoon, that counsel for plaintiff
11 make available at least a copy or two of those 12 exhibits he intends to utilize in the deposition for
13 the rest of the lawyers here in the room. 14 MR. RICHARDSON: I will not do that. Not
15 only will I not do that, but the defendants did not 16 extend the same courtesy when they deposed the mother 17 of these children five straight days with the whole 18 mountain of exhibits that they threw in front of her 19 face and didn't give us one courtesy copy of one page
20 -21 MR. DAVID: During the deposition you were
Page 70
Page 71
1 not --
1 us the opportunity to review it before you question
2 MR. RICHARDSON: --at any time.
2 him about it.
3 MR. DAVID: I assumed they handed it to the
3 MR. RICHARDSON: I am not going to do that.
4 witness and they were able to look at it and --
4 If you want to pass it around amongst yourselves, they
5 MR. RICHARDSON: That is what I am doing
5 are right here, they have already been discussed, to
6 right now.
6 look at them.
7 MR. DAVID: Yes, Mr. Richardson. You were
7 MR. DAVID: No, no, before --
8 one attorney representing a single client, so you had
8 MR. RICHARDSON: YOU have -
9 the opportunity to review the exhibits.
9 MR. DAVID: No, I am not going to wait a
10 We don't have an opportunity to review the
10 minute.
u exhibits.
11 MR. RICHARDSON: You have the opportunity
MR. RICHARDSON: You don't represent this
12 when it is your turn.
j client.
13 MR. DAVID: I am going to look at these
14 MR. DAVID: I don't care that I don't
14 exhibits before you ask him about these exhibits, Mr.
15 represent this client.
15 Richardson.
16 There is an issue in this case with regard
16 MR. RICHARDSON: I am not going to give them
17 to this defendant that certainly relates to every
17 to you.
18 defendant in the case, not just to this defendant, so
18 mr . DAVID: y o u don't need to.
19 if you are not going to extend the courtesy, then I am
19 Mr. Sullivan, would you please pass the
20 going to ask diat every exhibit, then, that you
20 exhibit around so I can take a look at them before
21 provide to this witness be passed around to us to give
21 questioning begins.
Page 72
Page 73
1 MR. RICHARDSON: I am going to begin
1 defense counsel in this room to look at?
2 questioning. I am not going to watt for you to review
2 MR. RICHARDSON: Mr. Sullivan said he is
3 it.
3 going to give you a copy to look at, but that is not
4 MR. SULLIVAN: As soon as I am done I will.
4 going to stop me from proceeding with the questioning
5 MR. DAVID: You will pass it around. Thank
5 of the witness, because this will take two weeks to do
6 you.
6 instead of one day.
7 And you will continue to refuse, Mr.
7 MR. DAVID: it wouldn't take two weeks if
8 Richardson, to provide even one copy to the rest of us
8 you had the courtesy of passing out a copy of the
9 to look at -
9 documents, and that is a responsibility, Mr.
10 MR. RICHARDSON: These copies are
10 Richardson, that you have.
it available -
11 BY MR. RICHARDSON:
12 MR. DAVID: - prior to
12 Q Mr. Smith, have you had a chance to look at
13 MR. RICHARDSON: Not prior to questioning.
13 that document?
14 You don't have any right to look at these things prior
14 A Yes, I did.
15 to my Questioning the witness.
15 Q Was that document produced by the L.I.A.?
16 You do have a right, though, to look at the
16 A Yes, it was.
17 documents to prepare for any questions you may ask him
17 Q All right.
is when it is your turn.
18 MR. SULLIVAN: we are making some progress.
MR. DAVID: No, no, no, you misunderstand.
19 We may want to use yours back and forth, and I know --
j As you hand the document to the witness, you
20 MR. DAVID: I object to any questioning
21 are not going to pass around a copy for the other
21 until I have had an opportunity to look at the
Page 68 - Page 73
Evans Reporting Service
Multi-PageTM
Page 74
Page 75
1 document.
1 MR-SULLIVAN: objection. While 1 think
2 Q Okay.
2 they were funding Dr. Aub, when you say the
3 Isn't it true, sir, that the L.I.A. was
3 institution --
4 funding medical research by -- that was being
4 Q The Harvard Medical School.
' 5 conducted by Dr. Aub as of September 1932?
5 Was there any other institution besides
6 A I believe they were.
6 that, that the L.I.A. was funding during the 1930s?
7 Q And isn't it true, in fact, sir, that they
7 MR. SULLIVAN: if you know.
8 have been doing that since their -- 1929?
8 A I don't know. I am not sure. I think they
9 A I am not sure, but they may have been,
9 may have been.
to Q Okay. In fact, isn't it also true, sir,
10 Q This document seems to be discussing a
U that they continued their relationship with Dr. Aub
11 request by a business concern about the publicity that
12 over the next several decades?
12 they have been receiving concerning the use of lead in
13 A
I think --
13 their product.
14 MR. DAVID: object to the form of the
14 Is that your understanding from your review
15 question. Vague and indefinite,
is of the document?
is Q You can answer, sir.
16 MR. SULLIVAN: Objection. I would just have
17 A I think the L.I.A. did have a relationship
17 to have -- okay, thank you.
18 with Dr. Aub for many years.
18 lam sorry, if you could just repeat it?
19 Q During the 1930s was there any other medical
19 MR. RICHARDSON: Sure, I have no problems
20 institution that the L.I.A. was funding besides Dr.
20 with that.
21 Aub's institution?
21 MR. WHITEHEAD: what is the date of the
Page 76
Page 77
1 document?
1 A I would say, yes.
2 MR. SULLIVAN: September 29 --
2 MR. DAVID: I am going to move to strike as
3 THE WITNESS: September 28, 1932.
3 speculative by the witness.
4 BY MR. RICHARDSON:
4 Q Isn't it also true, sir, that that document
5 Q Now, my question to you, sir, isn't it true
5 reflects that the L.I.A. recommends that this business
6 that this document reflects a concern on the part of a
6 entity investigate the concern by referring the matter
7 business entity addressed to the L.I.A. about
7 to Dr. Aub for medical research?
8 complaints that it has been receiving concerning the
8 MR. CURTIS: Same objection.
9 use of lead in one of its products?
9 MR- SULLIVAN: Objection. If that is an
10 MR. CURTIS: Object to the form of the
10 accurate reflection of the document.
11 question.
11 A Would you say it again, please.
12 MR. SULLIVAN: Objection to the form of the
12 Q Isn't it true that the document reflects
13 question because it asks him to speculate as to what
13 that the L.I.A. referred this business company to Dr.
14 is in the mind of someone else.
14 Aub to conduct research on the potential hazards or
15 MR. CURTIS: It is also vague and
l s the possible hazards associated with the use of lead
16 unintelligible.
16 in that company's products?
17 Q Does, in fact, the document reflect a
17 MR. d a v id : objection.
18 concern raised to the L.I.A. by a business entity
18 MR. SULLIVAN: objection.
19 about the use of lead in one of its products?
19 A What it says is that the dye works was -- we
20 MR. CURTIS: Same objection.
20 suggested that the safest procedure for the dye works
21 MR. SULLIVAN: Objection.
21 was to investigate the health hazard for lead weighted
Page 78
Page 79
1 silk thoroughly through an impartial organization and
1 actually have highlighted in yellow that says, "many
2 that they base their policies on that investigation.
2 among children?"
3 Q Don't they, in fact, suggest that Dr. Aub
3 A That is what it says.
4 would be that source for the impartial investigation?
4 Q All right. Oh, I am sorry, let me give it
5 MR. DAVID: Object to the question.
5 back to you.
6 MR. SULLIVAN: Objection.
6 I also have highlighted in that same
7 MR. DAVID: The form of the question.
7 paragraph the last sentence, and because I don't have
8 A Arrange for an interview with Dr. Aub.
8 it in front of me I can't quote it word for word, but
9 MR. DAVID: is there a particular portion of
9 if you could read for me the last sentence of that
10 the document that you are referring to, Mr.
10 paragraph?
11 Richardson?
11 A An ounce of prevention may save us reams of
12 It is about five pages long.
12. undesirable publicity.
13 MR. RICHARDSON: L.I.A. 86.
13 This is referring to the effort with the
14 MR. DAVID: Thank you.
14 battery boxes.
15 BY MR. RICHARDSON:
15 Q Right. Thank you.
16 Q And on the next page, sir, L.I.A. 87, the
16 Isn't it true, Mr. Smith, that one way to
17 beginning of the first full paragraph, doesn't, in
17 prevent adverse publicity is to not use lead in any
18 fact, the document further discuss the 59 cases in
18 products?
19 Baltimore that the previous exhibit referred to?
19 MR. SULLIVAN: Objection. Don't even
20 A I believe it is.
20 speculate. Don't --
21 Q And isn't there a phrase there that I
21 Q I am not asking you to speculate.
Evans Reporting Service
Page 74 - Page 79
Multi-Page1
Page 80
Do you agree that one way to avoid adverse
t
publicity is not to use it in the products at all?
2
MR. SULLIVAN: objection.
3
A No, I am not going to answer that.
4
Q You are not being instructed not to answer. so --
5 6
MR. SULLIVAN: if you agree with him that -
7
A I do not agree.
8
Q That is all you have to say.
9
(Whereupon, Smith Deposition Exhibit Number
10
10 was marked for identification.)
11
BY MR. RICHARDSON:
12
Q I am now showing you the next numbered
13
exhibit, sir.
14
It is another copy of the Directors meeting
is
minutes, this one dated June 15th, 1933. The first
16
page of the document is Bates stamped L.I.A. 103.
17
I simply ask you, sir, if that is a document
18
that the L.I.A. has produced?
19
(Whereupon, document tendered to witness.)
20
a It looks to be an L.I.A. document, yes.
21
Page 81
Q Okay.
(Whereupon, discussion off the record.) THE VIDEOGRAPHER: we are back on the
record. The time is approximately 10:39. mr . DAVID: I want to state a further
objection to this process by which Mr. Richardson
refuses to provide other counsel with a copy of a document. It is -- it could lead to delay.
I will object strenuously if Mr. Richardson utilizes that as some sort of a reason to continue this deposition, because it is his own fault and his own lack of professional responsibility that will lead to it.
And it is typical of the sandbagging that we have become accustomed to by plaintiffsT counsel in a
lot of these cases. MR. RICHARDSON: what is your name? MR. DAVID: My name is Joseph David, Mr.
Richardson. MR. RICHARDSON: Mr. David, how can you
lie?
Page 82
MR. DAVID: How can you utilize a document,
1
Exhibit Number 9, which states zero, absolutely
2
nothing about lead paint, which this case is about,
3
and indicates that the problem of the 59 cases of lead
4
poisoning in Baltimore was directly traced to
5
discarded storage battery boxes used for fuel.
6
MR. RICHARDSON: This case is about
7
knowledge of the hazards of lead products including
8
lead paint.
9
MR. DAVID: No, it is not, sir. No, it is
10
not, sir.
11
MR. RICHARDSON: You are dragging this
12
deposition on because of your unbelievable speaking
13
objections.
14
MR. DAVID: The court has already ruled that
15
lead is a natural product. The court has ruled that
16
lead is not unreasonable in terms of its risks or
17
dangers.
18
The court has ruled that lead is not an
19
inherently dangerous product, so this case is not
20
about lead, sir.
21
Page 83
MR. RICHARDSON: It is about lead, sir, because it goes to what this company actually knew,
this Association actually knew, and you are the one that is dragging this deposition out.
MR. DAVID: I will take that argument and go
to court with it any day. MR. RICHARDSON: You can do whatever you
want, sir. BY MR. RICHARDSON:
Q All right. If I can refer you, sir, to page
L.I.A. 104. MR. SULLIVAN: At the break we had not
started reviewing it, so if you can give us a minute,
refer us to a paragraph and give us a minute to read it.
MR. RICHARDSON: sure. The First paragraph.
BY MR. RICHARDSON:
Q My question is simply this, sir:
From your review of the documents, have you seen anything that would suggest other than what is
stated in this document?
Specifically what I am referring to, sir, is
that it states in primary lead smelting and refining,
the industry is 100 percent represented.
MR. SULLIVAN: You are talking of a time frame, June 15, 1933, only?
MR. RICHARDSON: Yes. BY MR. RICHARDSON: Q As of that date? A Yes. Q Is it your understanding that -- MR. SULLIVAN: if you know. Q -- that in primary lead smelting and
refining the industry is 100 percent represented in
the L.I.A.? MR. SULLIVAN: objection. MR. DAVID: Objection, irrelevant.
Q Go ahead, sir. A That is what it states here. Q Have you seen anything to disagree with 21 that?
Page 84 1 2 3 4 5 6
7 8 9 to 11
12 13 14 is 16 17
18 19
20 21
Page 85
MR. SULLIVAN: Objection. A I have not. Q And it says in mining, we have a
representation close to 80 percent? MR. SULLIVAN: Objection.
Q Have you seen anything to disagree with
that, sir? MR. SULLIVAN: objection. MR. DAVID: Objection, irrelevant,
A I have not. Q And then, the lead pigments industry, our
representation is close to 100 percent.
Have you seen anything in the documents that
shows anything other than that?. MR. SULLIVAN: Objection. If you know.
A I do not know. Q And you have not seen anything? A No.
MR. SULLIVAN: objection. Object. Q Thank you, sir. That is all I have on that document.
Page 80 - Page 85
Evans Reporting Service
Multi-PageTM
Page 86
Page 87
1 From your review of the documents, have you
1 For the record, it is a copy of the minutes
2 seen any documents which would document the inquiries
2 of the annual meeting of the members of the Lead
3 that came into the L.I.A. concerning the hazardous
3 Industries Association dated June 13th, 1935. The
4 nature of lead products, including lead paint?
4 Bates stamp number on the first page is L.I.A. 20579.
5 MR. SULLIVAN: objection.
5 mr . CALDWELL: what was the Bates stamp
6 A 1 don't even know that there were any
6 number again.
7 inquiries that came in to them regarding the hazards,
7 What was the number again?
8 whatever.
8 MR. RICHARDSON: Batesstamp number?
9 Q All right.
9 MR. CURTIS: Yes, sir.
to MR-WHITEHEAD: I am sorry, Mr.
10 MR. RICHARDSON: L.I.A 20579.
11 Richardson.
11 MR. WHITEHEAD: while the witness is doing
12 Could you read back the question?
12 that, I want to put a statement on the record for
13 (Whereupon, the record was read by the
13 Glidden.
14 reporter.)
14 lam reserving all objections to any of this
15 MR. RICHARDSON: Would you mark this,
15 examination because, without a document, I don't know
16 please.
16 what objections to make.
17 (Whereupon, Smith Deposition Exhibit Number
17 I tried to sit next to the witness to see
18 11 was marked for identification.)
18 the document after the question was asked. I am not
19 BY MR. RICHARDSON:
19 in any position to formulate objections.
20 Q I would ask that you review this to see if
20 MR. RICHARDSON: I think you are in a
21 this is a document produced by the L.I.A.
21 perfect position --
Page 88
Page 89
1 MR. DAVID: I join that objection.
1 objections.
2 MR. CURTIS: I join that objection as well.
2 MR. CALDWELL: Doe Run joins in the
3 MR. WHITEHEAD: I can't make an objection,
3 objection.
4 because I can't see the document.
4 I want to note for the record that before
5 MR. RICHARDSON: I disagree. You have every
5 the document gets to me it has to pass through nine
6 opportunity to look at the document.
6 hands.
7 If you intentionally refuse to look at the
7 MR. RICHARDSON: You still hear every
8 document, that is your own fault.
8 question that I ask. If you have an objection to the
9 MR. WHITEHEAD: Do you want us to hover
9 question --
10 around --
10 MR. CALDWELL: interrupt you after the fact
11 MR. RICHARDSON: if you intentionally decide
11 and state my objection five minutes later?
12 not to look at the document when it comes your way,
12 MR. HIRSCH: DuPont joins in the objection,
13 that is your fault.
13 also.
14 MR. WHITEHEAD: sir, you have already stated
14 MR. RICHARDSON: I understand. All of you
15 you are going to continue questioning.
15 can have any objection you want.
16 Sir, I am sorry, you nave chosen your way to
16 MR. DAVID: I think it is inexcusable that
17 do it.
17 the issue could be resolved simply by making a couple
18 MR. Ric h ar d s o n : That is the way the
18 of extra copies and handing those to counsel while
19 defendants have done it all along in the litigation,
19 handing it to die witness for initial review.
20 so I am -
20 MR. RICHARDSON: I think the defendants
21 MR. WHITEHEAD: Mr. Richardson, I can't make
21 could have done the same thing in the deposition of
Page 90
Page 91
1 Mrs. Wright.
1 MR. SULLIVAN: is there a question?
2 MR. DAVID: The fact of the matter is, Mr.
2 MR. RICHARDSON: Yes.
3 Richardson --
3 MR. SULLIVAN: Well, one of the problems -*
4 MR. RICHARDSON: You are complaining -- your
4 it was awkward the last time when we passed it around
5 counsel took the deposition of Mrs. Wright.
5 for Mr. Smith to be able to answer your question -
6 MR. DAVID: Excuse me, sir.
6 BY MR. RICHARDSON:
7 MR. RICHARDSON: Your counsel and he did not
7 Q Referring to page L.I.A. --
8 offer any copies.
8 MR. DAVID: Excuse me, I would like to see
9 MR. DAVID: He did not offer any copies
9 the document, please.
10 because you had an opportunity to -- while sitting
10 MR. SULLIVAN: 82, that is the lead
11 right next to Mrs. Wnght, to review the copy that he
11 poisoning.
12 handed to Mrs. Wright along with her.
12 He made a reasonable request.
13 MR. RICHARDSON: I did not have an
13 MR. RICHARDSON: Just pass it down to him.
14 opportunity --
14 MR. SULLIVAN: if you can ask your questions
15 MR. DAVID: We don't have that opportunity.
is while we keep your copy, that would move it along.
16 You don't provide us with that opportunity and it is
16 MR. d a v id : I object to that procedure.
n inexcusable --
17 BY MR. RICHARDSON:
18 MR. RICHARDSON: l don't have any
18 Q On page L.I.A. 0294 under lead poisoning, it
19 opportunity either because he was asking her questions
19 states hardly a day goes by but this subject receives
20 as soon as he gave it to her.
20 some attention at the headquarters of the
21 Are we ready?
21 Association.
Evans Reporting Service
Page 86 - Page 91
Multi-PageTM
1 Have your review of the documents, were you
2 able to show or be able to inform us as to what extent
3 the subject was being discussed by the L.I.A. as of 4 June 1935?
MR. SULLIVAN: objection.
MR. DAVID: Object to the question. 7 MR. SULLIVAN: The document speaks for
8 itself. 9 A That is -- all I would know about it is what
10 is there. 11 MR. DAVID: sir, let me state my objection, 12 please.
13 I further object to the question. It has 14 nothing to do with lead paint. It is irrelevant. 15 MR. RICHARDSON: Okay. 16 BY MR. RICHARDSON: 17 Q I am sorry, what was your answer? 18 A Basically, that what it says there is -19 speaks for itself. 20 Q It also says that there would be an attempt
21 to accumulate all possible material of scientific
1 value to help us in our efforts.
2 Are you aware of the accumulation of medical 3 or scientific articles by the L.I.A. on the subject of
4 lead poisoning? 5 MR. DAVID: Object to the question. 6 MR. WHITEHEAD: I object, first of all, to 7 the question. 8 MR. SULUVAN: Go ahead. 9 MR. WHITEHEAD: No, you go, Mark. 10 MR. SULUVAN: I am going to object to the 11 question.
12 It is vague and the document does speak for 13 itself and, again, it relates to issues that may be
14 beyond the scope of this case. 15 Q All right. Now you can answer the 16 question.
17 MR. w h it e h e a d : I have another objection. I 18 want to object to the question as being intentionally 19 misleading in an effort to confuse this witness, 20 because if you take the entire document in context 21 with the rest of the text, you will clearly
Page 94
Page 95
1 demonstrate a substantial commitment on the part of
1 which would reflect -- strike that and let me rephrase
2 the L.I.A. to fund medical research and to bring those
2 it
3 issues to the attention of the public.
3 From your review of the documents, were you
4 It characterizes the research work and the
4 able to locate any medical or scientific literature on
5 financing of the L.I.A. as, "being of great value to
5 the subject of lead poisoning?
6 the entire world," and I don't think it was fair to
6 MR. SULUVAN: Question as to time frame?
7 point the attention of this witness to only a small
7 MR. RICHARDSON: At any time.
8 part of the document without taking it in total
8 BY MR. RICHARDSON:
9 context.
9 Q From your review of any of these documents
10 I think you are trying to mislead the jury
10 of the L.I.A., did you find any medical or scientific
11 in getting them to think that the L.I.A. was not doing
11 literature on the subject of lead poisoning?
a comprehensive medical research effort.
12 MR. WHITEHEAD: I am going to object to the
MR. RICHARDSON: I think the evidence will
13 question as being overbroad.
14 prove that, in fact, they weren't doing a
14 A Yes, there were some references to
15 comprehensive medical research.
15 articles.
16 MR. SULLIVAN: We certainly disagree with
16 Q There were references to articles?
17 that
17 A Yes.
18 MR. RICHARDSON: I understand.
18 Q Did you find actual articles?
19 BY MR. RICHARDSON:
19 MR. SULLIVAN: Again, objection as to time
20 Q My question, sir, from your review of the
20 frame.
21 document, nave you seen any review of the documents 21 Are you talking 1970, 1960s, from 1950,
Page 96
Page 97
1 1920?
1 BY MR. RICHARDSON:
2 Q From the inception in the 1920s, did you
2 Q Your testimony is that you are not aware of
3 find any articles on lead poisoning in the possession
3 any other than what was produced yesterday; is that
4 of the L.I.A. --
4 correct?
5 MR. SULLIVAN: in the documents we
5 A That is correct.
6 produced?
6 MR. DAVID: I am going to object to the form
7 MR. r ic h ar d s o n : That is correct.
7 of the question to the extent that it carries with it
8 MR. SULUVAN: Speak to the record.
8 any implication that if the witness has not seen any
9 A There would have been some in the documents
9 such documents, that such documents did not, in fact,
10 that I believe were turned over to you yesterday.
10 at one point in time exist.
11 Q Yesterday? Those were documents in the
11 MR. RICHARDSON: Mark this, please.
12 1970s?
12 (Whereupon, Smith Deposition Exhibit Number
13 A '60s and '70s.
13 12 was marked for identification.)
14 MR. SULLIVAN: Mr. Richardson, you are well
14 BY MR. RICHARDSON:
15 aware there are many articles in the documents we
15 Q I am showing you now what has been marked as
16 produced to you that cover a wide range of time
16 Deposition Exhibit Number 12.
17 Frame.
17 For the record, it is a copy of the Board of
18 MR. RICHARDSON: I have not seen any
18 Directors meetings minutes dated October 1, 1935 and
documents that are --
19 it is Bates stamped on the first page L.I.A. 154.
MR. SULLIVAN: I suggest you go back and
20 I am specifically only -- l am interested in
21 review them.
21 finding out whether or not you agree that this
92 - Page 97
Evans Reporting Service
Multi-PageTM
Page 98
Page 99
1 document was produced by the L.I.A., but my question
1 A Yes, you do.
2 will be focused specifically on the page L.I.A. 157,
2 MR. DAVID: I object to the procedure being
3 number 5.
3 followed by counsel to ask questions without providing
4 (Whereupon, document tendered to witness.)
4 copies of the documents to defense counsel.
s MR. w h it e h e a d : The date of the document
5 I further object in that the document has
6 is?
6 absolutely nothing to do with lead paint, and I
7 MR. RICHARDSON: October 1st, 1935.
7 further object that the question is irrelevant. And I
8 MR. WHITEHEAD: Thank you.
8 would like to review the document, if I might,
9 MR. SULLIVAN: Page 157?
9 please.
10 MR. RICHARDSON: Yes.
10 MR. RICHARDSON: For the record, the
11 BY MR. RICHARDSON:
11 document was provided to counsel for L.I.A.
12 Q Well, first of all, isn't it true, sir, this
12 MR. SULUVAN: Right. Before we go, I just
13 is one of the documents produced by the L.I.A.?
13 want to make sure -- there is more to that paragraph
14 A I believe it is, yes.
14 that I think is important. That first sentence you
15 Q Now, on page L.I.A. 157, number 5, please
15 read is the first paragraph.
16 let me know, sir, if I am reading this correctly,
16 BY MR. RICHARDSON:
n There has been no let up m the amount of
17 Q I will read the second sentence and the last
18 attention given by the health writers to the subject
18 sentence to that paragraph.
19 of lead poisoning, and this problem still remains one
19 MR. DAVID: Mr. Sullivan, may I look at the
20 of great importance to us.
20 document, please.
21 Did I read that correctly, sir?
21 MR. SULLIVAN: As he is reading.
Page 100
Page 101
1 BY MR. RICHARDSON:
1 A Not in that paragraph.
2 Q If you could read the second sentence of
2 Q All right.
3 that paragraph, sir?
3 MR. w h it e h e a d : I have an objection to the
4 A The second sentence says the Harvard Medical
4 question. I believe the question is misleading and
5 School is continuing its research on lead, and we have
5 argumentative.
6 supplied them with $6,000 of the $10,000
6 Mr. Richardson, I can say that you are
7 appropriations covering their two years
7 either woefully uninformed about the extent of
8 experimentation.
8 research taking place in this area or you are
9 Q Isn't that the same Harvard Medical School
9 intentionally trying to mislead the witness.
10 that the Association has been sponsoring over the last
10 MR. RICHARDSON: I am doing neither, just so
11 several years?
11 that you know.
12 A I believe it is.
12 BY MR. RICHARDSON:
13 Q There is no indication in that paragraph of
13 Q From your review of the documents, Mr.
14 the L.I.A. sponsoring any other medical research at
14 Smith, are you able to inform us as to 'why the L.I.A.
15 any other institution other than the Harvard Medical
15 considered lead poisoning as a problem as it is stated
16 School?
16 in this document, sir?
17 MR. WHITEHEAD: Excuse me -
17 MR-CURTIS: Objection.
18 MR. SULLIVAN: Objection. In that specific
18 MR. SULLIVAN: objection.
19 paragraph. He can only report what is said.
19 Q You can answer, if you know.
20 MR. RICHARDSON: l am asking him the
20 MR. SULLIVAN: You are talking time frame is
21 paragraph.
21 just in October of 1935?
Page 102
Page 103
1 MR. RICHARDSON: That is right.
1 Something was in circulation --
2 MR. s u l l iv a n : if you know what the problem
2 Q Isn't it true that the L.I.A., their
3 with lead poisoning was in that time.
3 magazine entitled. Lead, had a circulation of about
4 A In 1935? Well, I believe, in looking at the
4 30,000 during the mid 1930s?
5 information, that the Association had worked with
5 MR. s u l l iv an : objection. If you know.
6 companies making cribs and toys and other such items
6 A I don't know what the circulation was at
7 for children that they had encouraged them to
7 that time. If you have a document you can show me --
8 eliminate the use of lead paint.
8 Q Sure.
9 Q And was that because of a concern for the
9 MR. RICHARDSON: Let's mark that.
10 children developing lead poisoning, sir?
10 (Whereupon, Smith Deposition Exhibit Number
11 A I believe it was.
11 13 was marked for identification.)
12 Q Okay. This is as of October 1935?
12 BY MR. RICHARDSON:
13 A That is right.
13 Q I will refer you specifically to L.I.A.
14 Q Okay.
14 21700, and for the record, this is a copy of the
15 Isn't it true, sir, that the Lead magazine
15 Secretary's report of the L.I.A. to members of the
16 that was published by the L.I.A. developed a
16 L.I.A. dated February 19th, 1936.
17 circulation of approximately 30,000 in or around
17 The Bates stamp number on the first page of
18 1936?
18 the document is L.I.A. 21696.
19 MR. s u l l iv a n : Objection. I am sorry, I
19 Again, my question to you, sir, isn't it
20 missed the first part of the question, just the very
20 true that, at least by 1936, the Lead magazine had a
21 first part of the question.
21 circulation of approximately 30,000?
Evans Reporting Service
Page 98 - Page 103
Multi-PageTM
Page 104
Page 105
1 (Whereupon, document tendered to witness.)
1 Was this document produced by the L.I.A.,
2 A This states --
2 sir?
3 MR. DAVID: I object to the procedure of
3 (Whereupon, document tendered to witness.)
4 asking questions without providing counsel the
4 A I believe it was.
opportunity to review the document.
5 MR. DAVID: Counsel, may I see the document,
And I also further object on the basis of
6 please.
7 relevance,
7 Q I will show you this.
s Q Go ahead, sir.
8 On page L.I.A. 194 under the category lead
9 MR. SULLIVAN: objection, but you can
9 poisoning, the document states, the Directors
10 answer.
10 discussed the lead poisoning situation with emphasis
n a This item does state that Lead had a
11 on the advisability of the Association issuing a
12 circulation of 30,000.
12 leaflet of a general nature on lead poisoning, but it
13 Q Thank you, sir.
13 was unanimously felt that it would be better for the
14 (Whereupon, Smith Deposition Exhibit Number
14 Association to continue as it has in the past by
is 14 was marked for identification.)
15 disposing of each situation as it arises.
16 BY MR. RICHARDSON:
16 And I will ask that you take a look at that
17 Q I am now showing you what has been marked as
17 paragraph. I actually have it highlighted, to see if
is Deposition Exhibit Number 14.
18 I read that correctly.
19 It appears to be a copy of the Board of
19 MR. DAVID: I am going to object to
20 Directors meeting minutes dated June 29th, 1937. The
20 questioning this witness on this document for
21 first page is Bates stamped L.I.A. 189.
21 counsel's failure to provide defense counsel with
Page 106
Page 107
1 copies to review at the same time.
1 improper procedure in asking the witness to attest as
2 I further object on the basis that there is
2 to whether or not the reading of a document is correct
3 no mention of lead paint in regard to this document or
3 or not.
4 contained in this document, so, therefore, the
4 MR. RICHARDSON: I understand.
5 document is irrelevant.
5 MR. SULLIVAN: As you were reading, we
6 MR. RICHARDSON: sir, you don't have to
6 weren't following it, so if we can read it into the
7 repeat yourself after every document. You can have a
7 record, that will reflect what it actually says.
8 continuing objection on each of these documents, Mr.
8 MR. RICHARDSON: That is fine.
9 David.
9 A Under the heading, lead poisoning, it says
10 Let the record reflect, as he makes this
10 the Directors discussed the lead poisoning situation
11 objection, he is looking at the document.
11 with emphasis on the advisability of the Association
MR. DAVID: That is true, and it has been
12 issuing a leaflet of a general nature on lead
. true after the last couple of documents.
13 poisoning, but it was unanimously felt that it would
14 MR. RICHARDSON: It sure has.
14 be better for the Association to continue as it has in
is MR. DAVID: And has led to delay caused by
15 the past by disposing of each situation as it arises.
16 plaintiffs' counsel for his continued failure to even
16 Q Do you know why the L.I.A. at that time
17 accommodate us by providing eight or nine defense
17 decided not to publish the leaflet?
18 counsel with one copy.
18 MR. SULLIVAN: if you know.
19 BY MR. RICHARDSON:
19 A I do not.
20 Q Did I read that paragraph correctly, sir?
20 MR. SULLIVAN: objection.
21 MR. CURTIS: I would like to object to the
21 MR. RICHARDSON: Mark this.
Page 108
Page 109
1 (Whereupon, Smith Deposition Exhibit Number
1 MR. DAVID: May I see the document, please.
2 15 was marked for identification.)
2 BY MR. RICHARDSON:
3 BY MR. RICHARDSON:
3 Q If I can show you this section, and can you
4 Q I am now showing you what has been marked as
4 identify for the record the L.I.A. Bates stamp number
5 Deposition Exhibit Number 15.
5 on that page?
6 It appears to be a copy of the Board of
6 a Yes, L.I.A. 205.
7 Directors meetings' minutes and dated May 3rd, 1938.
7 Q Okay. And the category under which I have
8 The first page of the document is Bates
8 the highlighted paragraph is? I am sorry, I can't see
9 stamped L.I.A. 203, and I ask whether or not that was
9 it.
10 a document produced by the L.I.A.?
10 A All right.
11 (Whereupon, document tendered to witness.)
11 Q What is it?
12 A I believe it was.
12 A It says lead poisoning.
13 Q If you could show it to Mr. David.
13 Q All right. If you can read that to
14 (Whereupon, document tendered to counsel.)
14 yourself, I have a question for you, sir.
15 MR. SULLIVAN: We will take a look at it
is A All right.
16 first and then pass it along and we can identify
16 MR. SULLIVAN: can he look at it or do you
17 whether it is our document or not.
17 want to ask the question and then he will have to look
18 MR. WHITEHEAD: Board meeting of May 3rd,
18 at it again?
1938?
19 Oh, never mind, we have it.
MR. RICHARDSON: May 3rd, 1938.
20 MR. DAVID: same objection as to
21 MR. SULLIVAN: is there a particular --
21 questioning, as I have prior exhibits.
Page 104 - Page 109
Evans Reporting Service
Multi-PageTM
Page 110
Page 111
1 Q Now, the paragraph discusses a trip to
1 Q And is there any indication under this
2 Baltimore to confer with the health authorities on the
2 category of lead poisoning that the L.I.A. was funding
3 general question of lead poisoning among infants, and
3 anybody else besides Dr. Aub?
4 it states that the outcome of that conference was
4 MR. SULUVAN: Objection. The document
5 mutually beneficial.
5 speaks for itself.
6 From your review of the documents, were you
6 a There is no indication there.
7 able to determine to what extent or what is meant by
7 Q That is right. Thank you, sir.
8 the term, mutually beneficial?
8 MR. WHITEHEAD: could I have just one minute
9 MR. SULLIVAN: objection, if you know.
9 with Mr. Sullivan?
10 A I do not know what was mutually beneficial.
10 We don't have to adjourn.
11 Q As of May of 1938, isn't it true that the
11 MR. RICHARDSON: Okay.
12 L.I.A. was concerned about lead poisoning among
12 We have got to go off die record. There is
13 infants?
13 no use wasting tape.
14 MR. SULUVAN: objection. If you know,
14 (Whereupon, discussion off the record.)
is A It says yes, the question of lead poisoning
15 MR. SULLIVAN: Thank you.
16 among infants, and it also says that Dr. Aub advised
16 MR. WHITEHEAD: Thank you, counsel. I just
17 them that he was continuing his work at the Harvard
17 wanted to try to facilitate the document review.
18 Medical School.
18 THE VIDEOGRAPHER: we are back on the
19 Q This is the same Dr. Aub that we have been
19 record. The time is 11:12.
20 talking about all along?
20 BY MR. RICHARDSON:
21 A Right
21 Q Mr. Smith, are you aware that the Lead
Page 112
Page 113
1 Industries Association engaged in a white lead
1 It is dated February 20th, 1939. It is from
2 promotional program?
2 Felix Wormser, the Secretary of the Lead Industries
3 MR. SULLIVAN: objection.
3 Association at that time. And the first page is Bates
4 A I have seen reference to it, yes.
4 stamped L.I.A. 9004.
5 Q Do you know what time frame that program was
5 And my first question to you, sir, is do you
6 conducted in?
6 recognize that as being a document produced by the
7 A I believe about 1939 to maybe 1950.
7 L.I.A.?
8 Q Okay.
8 (Whereupon, document tendered to witness.)
9 What was the purpose of the white lead
9 A I do.
10 program?
10 Q If you can show that to Mr. David, please.
11 MR. SULLIVAN: Objection.
11 (Whereupon, document tendered to counsel.)
12 A I don't have the purpose before me and if
12 MR. SULLIVAN: Let's just take a look at it
13 you have a document that will refer to it.
13 first.
14 Q All right.
14 mr . Ric h a r d s o n : For the record, what I will
15 (Whereupon, Smith Deposition Exhibit Number
15 do during the lunch break, for the remaining exhibit I
16 16 was marked for identification.)
16 will make one copy available for that end of the table
17 BY MR. RICHARDSON:
17 so that other counsel can peruse them.
18 Q I am now showing you, sir, what has been
18 MR. WHITEHEAD: we will hover.
19 marked as Exhibit Number 16. It appears to be a copy 19 MR. RICHARDSON: That is right, over Mr.
20 of a letter to members supporting the white lead
20 David.
21 promotion program.
21 MR. DAVID: I appreciate that.
Page 114
Page 115
1 MR. CURTIS: since during the lunch break it
1 disagree with that?
2 would be just as easy to make a number of copies ~
2 MR. SULUVAN: objection. I think the
3 MR. RICHARDSON; it would not be easy.
3 document speaks for itself, one way or another.
4 MR. CURTIS: it would not? Set the machine
4 MR. RICHARDSON: That is not what I am
5 on two, instead of one.
s asking you.
6 MR. RICHARDSON: n o , except that I am all by
6 BY MR. RICHARDSON:
7 myself and I have things I have to do with the court
7 Q Have you seen anything in the documents to
8 and I don't have the time to spend at the machine.
8 disagree with that statement, sir?
9 BY MR. RICHARDSON:
9 A I have not.
10 Q You have had a chance to review that
10 Q This document says white lead consumption
11 document, sir?
11 has been declining. It has a market today of about
12 A We did look at it, yes.
12 half as big, and it gives a tonnage, as it had in
13 Q Again, is that a document that was produced
13 1922.
14 by die L.I.A.?
14 Have you seen anything in the documents to
15 A It is.
is disagree with that statement, sir?
16 Q The document states that the reasons for
16 MR. SULUVAN: Objection. This is setting
17 undertaking the trade promotion effort on behalf of
17 forth facts of people who had knowledge in those days,
18 white lead may be summarized as follows, and it begins
18 and as you know, our L.I.A. documents are just bits
19 with number 1, that white lead is the most important
19 and pieces of our history, so --
20 market for the product of the lead miner today.
20 MR. RICHARDSON: I don't know that to be
21 Have you seen anything in the documents to
21 true.
Evans Reporting Service
Page 110 - Page 115
Multi-PageTM
Page 116
Page 117
1 BY MR. RICHARDSON:
1 science and to commerce today.
2 Q But my question to you is, sir, from your
2 White lead is used in paste form as the sole
3 review of not only the L.I.A.'s documents, but the
3 constituent of paint or as an ingredient of prepared
4 defendant's documents produced in this case which you
4 paints generally in minor amounts.
' said you reviewed and also the plaintiffs' documents
s Have you seen anything in the documents to
produced in this case which you said you also
6 disagree with that, sir?
7 reviewed --
7 mr . DAVID: objection.
8 MR. SULLIVAN: He has reviewed some of
8 MR. SULLIVAN: Objection. He is not here as
9 them.
9 an expert on paint. I think the document, again,
io A Some of them.
10 speaks for itself.
n Q Whatever you have reviewed, have you seen
11 Q You can answer, sir.
12 anything that would suggest other than what the
12 A No, I have not.
13 statement states?
13 Q On the next page, sir, under number 6 it
14 MR. DAVID: I object to the form of the
14 states that white lead will continue to lose its
15 question.
15 position in the paint industry unless some effort is
16 MR. SULLIVAN: I object to the form of the
16 devised to offset competitive attacks and to acquaint
17 question.
17 the public widely with the merits of the product.
18 Q You can answer, sir.
18 From your review of the documents, do you
19 A I have not.
19 know whether or not it was the intention of the L.I.A.
20 Q Okay. It also states, under number 4, that
20 to promote white lead as part of the white lead
21 white lead remains the finest paint pigment known to
21 promotion campaign by acquainting the public widely
Page 118
Page 119
1 with the merits of the product -- of the product?
1 MR. SULLIVAN: objection. I think you are
2 MR. SULLIVAN: objection. I think it is a
2 mixing and matching two different things. You have to
3 compound question. And, again, I think the document
3 establish what the L.I.A. did know at the time about
4 speaks for itself and you are asking him to testify to
4 white lead.
5 things that I think even were before he was bom. I
5 We haven't done that, for the record, so,
6 may be wrong by five years on that.
6 therefore, your question is vague and ambiguous and
7 A I see wnat is here, but I can't testify that
7 without any background reference.
8 it is right or wrong. This is what was done, what was
8 Q Do you understand the question, sir?
9 said.
9 a I understand the question. I think that the
10 Q It also states that white lead is also
10 Association was aware of problems with toys and cribs
11 constantly subject to attack from a health
11 and that sort of thing, and that they had gone out to
' standpoint.
12 get an agreement not to use lead paints on those
Are you able to state what is meant by
13 things. And that was the focus at that time.
14 constant attack?
14 Q And --
15 MR. SULLIVAN: Objection.
15 MR. SULLIVAN: Objection. Move to strike,
16 A I do not know.
16 because that is only a partial answer as to just
17 Q You do not know?
17 children's toys ana cribs.
18 Do you know why the L.I.A. would be
18 This covers a lot more, including
19 interested in increasing the consumption of white lead
19 occupational, and it is very clear from this document
20 in the face of what it knew about the lead poisoning
20 it does.
21 of children?
21 MR. RICHARDSON: You are stating his answer
Page 120
Page 121
1 is a partial answer?
1 MR. RICHARDSON: That is correct.
2 MR. SULLIVAN: I believe it is.
2 MR. SULLIVAN: It was not in our records and
3 BY MR. RICHARDSON:
3 you would have had it if we had it.
4 Q Is there anything else that you would like
4 MR. RICHARDSON: well, it was in somebody's
5 to add, then, sir?
5 records because it was produced by us.
6 A There was continuous effort by the
6 MR. SULLIVAN: I am just saying you will
7 Association to not only address childhood lead
7 have to see if he has seen it and if he has reviewed
8 poisoning, but also industrial lead poisoning.
8 it.
9 Q I see.
9 MR. RICHARDSON: Yes.
10 MR. RICHARDSON: Mark this, please.
10 MR. WHITEHEAD: The exhibit is what number?
11 (Whereupon, Smith Deposition Exhibit Number
11 MR. RICHARDSON: 17.
12 17 was marked for identification.)
12 MR. SULLIVAN: It is a little hard to read.
13 BY MR. RICHARDSON:
13 I apologize --
14 Q I am now showing you, sir, what has been
14 MR. RICHARDSON: I can specifically refer
15 marked as Deposition Exhibit 17.
is you to the medical research section. That is the only
16 It is a copy of the annual meeting of the
16 section I am interested in.
17 members of the Lead Industries Association minutes
17 MR. SULLIVAN; There were some parts that
18 dated May 16th, 1939, and the Bates stamp number on
18 were hard to read what the words said.
' the bottom of this is Plaintiffs Exhibit 683.
19 BY MR. RICHARDSON:
MR. Su l l iv a n : This is not a document that
20 Q My first question, sir, is have you seen
21 the L.I.A. has produced.
21 that document before?
>age 116 - Page 121
Evans Reporting Service
Multi-PageTM
Page 122
Page 123
1 (Whereupon, document tendered to witness.)
1 MR. RICHARDSON: well, we can always talk
2 a No, I don't recall seeing that.
2 about the good part.
3 Q Ail right. At the bottom it had a stamp,
3 MR. SULLIVAN: I don't want to forget that.
4 Federal Trade Commission.
4 Do you want us to read the second
5 Was the L.I.A. in any way involved in
5 paragraph?
6 litigation with the Federal Trade Commission?
6 BY MR. RICHARDSON:
7 MR. DAVID: Objection, irrelevant.
7 Q Read the First sentence, and if you want to
8 MR. CURTIS: Objection.
8 read the second sentence, feel free to. I have a
9 a I have no idea.
9 couple of questions on that as well.
10 Q Do you remember discussing that before in
10 a Okay. Lead poisoning continues to be a
11 one of your previous depositions?
11 serious, troublesome subject to our industry.
12 A No, I do not. That was 1938?
12 Hardly a day passes, but what the office of
13 Q '39, May 16, 1939.
13 the Lead Industries Association receives is newspaper
14 MR. SULLIVAN: That was a 1939 document,
14 clippings carrying unfavorable comments about lead and
is Q The document under medical research states,
is its toxic qualities.
16 and I will show this to you -- and, in fact, why don't
16 Q If you want to read it, it is up to you.
17 I just show it to you and let you read the sentence
17 a Okay.
18 that I have highlighted. And forgive my notes, but
18 The Association has always endeavored to
19 Mr. David is looking at the other copy.
19 meet attacks on the use of its products by
20 MR. SULLIVAN: You didn't highlight the good
20 ascertaining the truth about any charge made against
21 part, but we will get to that.
21 lead.
Page 124
Page 125
1 Then he goes on to talk about continuing
1 previous exhibits, one of which stated that an ounce
2 fundamental search --
2 of prevention could save reams of adverse publicity,
3 MR. SULLIVAN: Read.
3 do you know whether or not the L.I.A. considered just
4 A All right.
4 not using white lead in paint so that this adverse
5 The continuation of fundamental research on
5 publicity would go away?
6 lead at Harvard University of Cincinnati and the U.S.
6 MR. SULUVAN: Objection.
7 Public Health Service in Washington are helping to
7 MR RICHARDSON: All I am asking is does he
8 create a better understanding of lead.
8 know.
9 Q Thank you, sir.
9 MR. SULLIVAN: That is a compound question
10 Isn't it true that the U.S. Public Health
10 with about three or four different parts to it. And
11 Service was headed by Dr. Fairhall --
11 it characterizes a prior document that may not be
12 MR. SULUVAN: if you know.
12 accurately characterized and it asks him to draw a
.13 Q -- at that time?
13 conclusion about a time period that he was not
14 A I do not. I have no idea.
14 involved with the L.I.A.
15 Q What hailed from the Harvard Medical School
15 He is here as a spokesman, and he can tell
16 as an understudy to Dr. Aub?
16 you what the documents say, but you are asking him to
17 Do you know that, sir?
17 draw conclusions as to why people, years ago, took
18 A I do not.
18 actions.
19 Q If the L.I.A. considered in May of 1939 that
19 MR. RICHARDSON: That is why he is here.
20 lead poisoning continues to be a serious troublesome
20 MR. WHITEHEAD: I further object to the form
21 subject to their industry, and as we looked at the
21 of the question as being misleading and misstating a
Page 126
Page 127
1 critically obvious fact.
1 exhibit, I think you can show it to him and then, he
2 BY MR. RICHARDSON:
2 can confirm it.
3 Q Can you --
3 Q Well, do you remember it, first of all?
4 MR. WHITEHEAD: Excuse me. I am sorry, Mr.
4 A I recall something to that effect.
5 Smith, one of the things we have to do is protect the
5 Q That is enough for my next question then.
6 record and protect the interests of our own clients.
6 MR SULUVAN: Objection. Move to strike.
7 Even though what we say may not be terribly
7 I think there is more to that statement that
8 important, I at least want to get the objection on the
8 was in the document.
9 record.
9 MR. RICHARDSON: Okay. We will find it.
10 I want to repeat that I object to the form
10 MR KENNEALLY: counsel, it was Exhibit 9,
11 of the question because it misstates a fact about the
11 if that would help.
12 L.I.A. and is misleading in its form.
12 MR. RICHARDSON: That does help.
13 Q Do you want me to rephrase the question,
13 Could you pull Exhibit 9, please, out of
14 sir?
14 there.
15 A Yes.
15 BY MR. RICHARDSON:
16 Q Do you remember the exhibit, the deposition
16 Q Referring to the page L.I.A. 87, the bottom
n exhibit that we discussed not too long ago where we
17 of the first paragraph or the second full paragraph.
is quoted a phrase from it that said an ounce of
18 If you could read that last sentence,
19 prevention could save reams of adverse publicity?
19 please.
20 Do you remember that exhibit, sir?
20 MR. SULLIVAN: This is referring to the
21 MR. SULLIVAN: Objection. If you have the
21 burning of cases in Baltimore, the burning of the
Evans Reporting Service
Page 122 - Page 127
Multi-PageTM
Page 128
Page 129
1 battery cases. 2 A You want only the last sentence?
1 One, with reference to -- 2 MR. RICHARDSON: I am sorry, I will let you
3 Q Just the last sentence. We just want to
3 state your objection, and I don't want you to Forget
4 establish --
4 the question --
A An ounce of prevention may save us reams of
5 MR-SULLIVAN: we will read it back if there
j undesirable publicity.
6 is a problem.
7 Q Thank you.
7 Objection. First of all, the reference to
8 ' Now, if the L.I.A. was concerned about
8 Exhibit 9 deals with the issue of people being lead
9 undesirable publicity, and as Exhibit Number -- the
9 poisoned because of burning battery casings which has
to last exhibit I just gave you?
10 nothing to do with white lead pigments.
U MR. SULLIVAN: 17.
11 Second of all, the L.I.A. is not -- it is a
12 Q 17 states, that lead poisoning continues to 13 be a serious troublesome subject to the industry, from
12 membership organization, it is not in a position of 13 telling its members what to do. They are paint
14 your review of the documents and as a representative
14 companies and they manufacture their own products.
15 of the L.I.A., are you able to say why the L.I.A. did
15 We are not the ones who tell them what to
16 not consider at that time removing white lead from its
16 do, and you are well aware of that, so to imply that
17 paint products?
17 we have that ability or authority is just totally
18 MR. SULLIVAN: objection.
18 improper.
19 MR. DAVID: objection.
19 MR. RICHARDSON: Okay.
20 Q From its members' paint products?
20 MR. WHITEHEAD: I further object to the form
2t MR. SULLIVAN: objection on several issues.
21 of the question and, again, it misstates an obvious
Page 130
Page 131
1 fact that the L.I.A. never made any products.
1 considered it a useful product at that time?
2 MR. SULLIVAN: with all of that, if you
2 MR. SULLIVAN: Objection. That is not what
3 would read the question.
3 his testimony is. You have totally mischaracterized
4 (Whereupon, the record was read by the
4 what he said.
5 reporter.)
s MR. RICHARDSON: I am trying my best to
6 MR. SULLIVAN: objection.
6 rephrase it.
7 A Lead was an extremely useful product. It is
7 MR. SULLIVAN: I know you are. You are
8 today and it will be for a long time.
8 doing a fine job of rephrasing what the answer was and
9 This statement here does not say anything
9 it is rephrasing that has nothing to do with the
10 about lead paint. You are trying to make it a
10 answer.
11 specific thing to lead paint.
11 The L.I.A. never made a product.
There were cases of lead intoxication in
12 MR. RICHARDSON: I am not saying that the
j industry and may well -- this may well have been
13 L.I.A. ever made a product.
14 referring to that.
14 MR. SULUVAN: it never removed lead
15 Now, the rest of your question? I am sorry,
15 pigment, nor did it have to, nor did it have the
16 is that --
16 authority to tell its members.
17 Q That is okay. So, as I understand your
17 MR. DAVID: it further misstates the
is testimony, you are telling me that the L.I.A. decided
18 testimony.
19 to continue using white lead -- not the L.I.A., the
19 MR. RICHARDSON: That is what I am trying to
20 L.I.A. decided not to inform its members or suggest to
20 make clear.
21 its members not to use white lead because it stul
21 BY MR. RICHARDSON:
Page 132
Page 133
1 Q Why did the L.I.A. -- and if you know, I am
1 with respect to lead poisoning in these exhibits,
2 not asking you to speculate, but why didn't the L.I.A.
2 sir?
3 inform its members that it would be better for them
3 A From time to time we have. Yes.
4 not to use white lead in its paint products in face of
4 Q Okay. And to the extent that we have, my
5 the adverse publicity that it was receiving as of May,
s question to you is why didn't the L.I.A. make
6 1939?
6 recommendations to its members who were using white
7 MR. SULLIVAN: Objection. The question
7 lead in their paints not to do so because of the
8 misstates the facts, misstates the documents and
8 potential adverse publicity that may be received as a
9 connects white lead pigments to issues that are not
9 result of doing that?
10 reflected or clearly reflected in these documents as
10 MR. SULLIVAN: Objection.
11 having anything to do with white lead pigments.
11 MR. DAVID: object for all of the reasons
12 MR. DAVID: Further calls for speculation.
12 previously stated to the previous question.
13 MR. RICHARDSON: I have to object to all of
13 MR. SULLIVAN: And I would state it the same
14 these speaking objections.
14 way, but just to save time on the record.
15 A This sentence that you wanted me to read
15 Q All right.
16 does not address itself to white lead paint.
16 A What I would state is that when they became
17 Q That is right.
17 aware of lead poisoning problems such as with the
'8 A Yet, you are, in your question, tying it to
18 cribs and toys, the Association did act and did
white lead paint.
19 actually get the members and others to not use lead
j Q But - well, that is fine.
20 paint for those things that were causing poison.
21 Haven't we today, sir, discussed white lead
21 Q When did that happen, sir?
Page 128 - Page 133
Evans Reporting Service
Multi-PageTM
Page 134
Page 135
1 A This was in 1934 and '5.
1 record. The time is 12:37.
2 Q It is your testimony, sir, that the L.I.A.
2 EXAMINATION
3 acted to inform its members who used white lead in
3 BY MR. RICHARDSON:
4 their paints not to use white lead in those paints as
4 Q Mr. Smith, during the lunch break, was there
5 of 1934 and 1934?
5 any discussion concerning your testimony today?
6 A No, you have left out --
6 A Yes, there was.
7 MR-DAVID: Objection.
7 MR. SULLIVAN: Keep your voice up, Jerome.
8 Q -- on cribs or toys?
8 A Yes, there was.
9 a You better believe it, yes, and that was
9 Q Was that with your counsel?
10 part of their effort in the records,
10 A That is correct.
u Q Okay.
11 Q Was that also with other attorneys in this
12 MR. RICHARDSON: This is a good time for a
12 room?
13 lunch break.
13 A No.
14 MR. SULLIVAN: I guess SO.
14 Q Are you aware of Maryland rules that you are
is MR. RICHARDSON: Be back at 12:30 if we
15 not supposed to discuss your testimony during the
16 can.
16 course of the deposition at any time even with
17 MR. SULLIVAN: Okay. Thank you.
17 counsel?
18 (Whereupon, a luncheon recess was taken ~
18 MR. GRIMM: what rule is that? What rule is
19 11:36 a.m.)
19 that, Mr. Richardson?
20 (Whereupon, afternoon session -- 12:37 p.m.)
20 Cite the rule for me, please.
21 t h e v id e o g r a p h e r : We are back on the
21 MR. RICHARDSON: if necessary, I will file a
Page 136
Page 137
1 motion that does that...
1 MR. RICHARDSON: As if you didn't know.
2 mr . g r imm: There is no such rule. If you
2 Mark this, please.
3 can cite it, do it.
3 (Whereupon, Smith Deposition Exhibit Number
4 MR. RICHARDSON: We will See.
4 18 was marked for identification.)
5 MR. s u l l iv a n : I would like to object. The
5 BY MR. RICHARDSON:
6 implication is that he cannot be told that. I think
6 Q Mr. Smith, I am showing you now what has
7 he is doing a fine job and the story is going --
7 been marked as Exhibit Number 18.
8 MR. RICHARDSON: i don't think you should
8 It appears to be a cover letter with the
9 testify on behalf of your witness, sir.
9 National Lead Company letterhead dated February 15th,
to BY MR. RICHARDSON:
10 1940 to Mr. Wormser, Secretary of the Lead Industries
11 Q During the lunch break, sir, were you shown
11 Association, which has attached to it a document that
12 plaintiffs' resubmission to the court?
12 simply has the word copy at the top of it.
13 A No.
13 The document is Bates stamped number at the
14 MR. RICHARDSON: For the record, there is a
14 beginning page NLI20442.
is copy for counsel at the end of the table of the
15 (Whereupon, document tendered to witness.)
16 exhibits to be used this afternoon.
16 MR. s u l l iv a n : Just for the record, this is
17 MR. DAVID: Can we have an indication of
17 not an L.I.A. document or one that we produced.
18 what recent submission to the court?
18 Q Let me first ask you, have you ever seen
19 MR. RICHARDSON: Plaintiffs' supplemental
19 that before?
20 responses to defendants' interrogatories.
20 A No.
21 MR. DAVID: oh, thank you.
21 Q Have you seen the copy that is attached to
Page 138
Page 139
1 the cover letter?
1 Refining Company, and the National Lead Company were
2 A No, I have not. It is kind of hard to read
2 responsible for establishing the Lead Industries
3 down there, but from what I have seen here, I did
3 Association or were mostly responsible for
4 not --
4 establishing the Lead Industries Association.
5 MR. s u l l iv a n : The bottom of the second
5 Do you have any knowledge as to which
6 page, the one that has copy at the top, the word copy
6 companies had or were responsible for establishing the
7 at the top, it is very hard to read. It is a number
7 Lead Industries Association?
8 3, but after that it is hard to read.
8 MR. SULLIVAN: Objection.
9 MR. RICHARDSON: My copy is not that bad,
9 MR. DAVID: Objection.
10 but if necessary, I will show you my copy.
10 MR. SULLIVAN: This is a document which he
11 BY MR. RICHARDSON:
11 said he hasn't seen before. If you are just referring
12 Q The first paragraph at the top of page 2,
12 to just that question, does he know who founded it,
13 sir.
13 that is okay.
14 MR. SULLIVAN: The second page or page 2 of
14 BY MR. RICHARDSON:
is the copy? There are two --
15 Q I am not asking you to rely on this
16 MR. RICHARDSON: The second page of the
16 document,
17 document.
17 lam asking you from your knowledge do you
18 MR. SULLIVAN: Okay.
18 know who established the Lead Industries Association?
19 BY MR. RICHARDSON:
19 A I do not.
20 Q The first paragraph suggests that the St.
20 Q Okay. Were you aware, sir, that as of
21 Joseph Lead Company, the American Smelting and
21 February of 1940 the St. Joseph Lead Company was the
Evans Reporting Service
Page 134 - Page 139
Multi-PageTM
Page 140
Page 141
1 largest mining company of lead?
1 Q Okay.
2 MR. SULLIVAN: Objection. If you know.
2 MR. RICHARDSON: Mark this.
3 A No, I do not.
3 (Whereupon, Smith Deposition Exhibit Number
4 Q Were you aware, sir, that the largest lead
4 19 was marked for identification.)
' consumer was National Lead Company at that time?
5 BY MR. RICHARDSON:
MR. SULLIVAN: Objection.
6 Q I am now showing you, sir, what has been
7 A Again, I would not have known it.
7 marked as Exhibit Number 19.
8 Q Number 3 on the same page under lead
8 It is a copy of the Board of Directors
9 poisoning, it states that the Association has
9 meeting minutes dated January 7th, 1941. It is Bates
10 supported medical research on lead poisoning at
10 stamped at the first page L.I.A. 251 and ask you to
11 Harvard University ever since its inception.
11 take a look at it to see if this is a document mat
12 Do you have any reason to disagree with that
12 L.I.A. has produced?
13 statement?
13 (Whereupon, document tendered to witness.)
14 A I wouldn't disagree with it, but there is
14 A I believe it is, yes.
15 more to it There was other research that was being
15 MR. SULLIVAN: Keep your voice up.
16 funded.
16 A Yes, I believe it is.
17 Q My question to you, though, sir, is it your
17 Q All right. On the second page, L.I.A.
18 understanding that the L.I.A. has funded medical
is 252-
19 research on lead poisoning at Harvard since its
19 MR. SULLIVAN: we are missing that page.
20 inception?
20 Let me just see if it is out of order.
21 A I would agree with that.
21 MR. RICHARDSON: It may not be.
Page 142
Page 143
1 MR. SULLIVAN: We are missing several
1 MR. SULLIVAN: So I object to the question.
2 pages. They don't seem to all be in sequence.
2 BY MR. RICHARDSON:
3 BY MR. RICHARDSON:
3 Q Does the document also state that they
4 Q Let me show you my copy of that. I will
4 continued their funding?
5 have to update that exhibit for you and get you a
5 I don't have it in front of me, so I don't
6 complete copy of it.
6 have
the exact --
7 If you would take a moment and read the
7 A Yes, continuing the work at Harvard.
8 section concerning Dr. Barborka.
8Q
At Harvard?
9 (Whereupon, document tendered to witness.)
9 A Yes.
10 A Okay.
10 (Whereupon, Smith Deposition Exhibit Number
11 Q Sir, are you able to state why the L.I.A.
11 20 was marked for identification.)
decided not to fund that doctor's request for funding
12 BY MR. RICHARDSON:
for medical research at that time?
13 Q Mr. Smith, I am now showing you what has
14 A No, I really couldn't say why. I do not
14 been marked as Exhibit Number 20. It is a letter from
is know.
15 Mr. Wormser the Secretary of the L.I.A. to Dr. Robert
16 Q The document also states, though, that they
16 Kehoe under the L.I.A. letterhead dated January 19th,
17 are continuing their funding?
17 1944, and the Bates stamp number on this document is
18 MR. SULLIVAN: object. I think when you
18 Plaintiff's Exhibit 1095.
19 asked him that it hadn't been established what the
19 I will ask you to take a moment to look at
20 language said. You just asked him to read it.
20 that and then tell me whether or not you have ever
21 MR. RICHARDSON: That is right.
21 seen that document before?
Page 144
Page 145
1 MR. SULLIVAN: As Mr. Smith is going
1 Q On page 10 -
2 through, some parts of the pages are very hard to read
2 MR. SULUVAN: we did not produce it because
3 because of the copies.
3 we didn't have it in the records.
4 I know they are probably difficult on the
4 MR. RICHARDSON: I understand.
5 original, too, but they aiminisn in the copy, so I
5 BY MR. RICHARDSON:
6 apologize for the time it is taking.
6 Q But you have seen it before?
7 MR. RICHARDSON: I disagree that it is hard
7 A I have seen it.
8 to read. I don't --
8 Q On page PL 1096, at the bottom of that page,
9 MR. SULLIVAN: Your copy may be a little
9 the paragraph begins, as you know, it is our belief
10 better.
10 here based on careful investigation that no crib
11 MR. RICHARDSON: it is the exact copy of
11 manufacturer in the United States today is using any
12 this. I made copies myself last night.
12 lead paint on cribs, nor has he used any for years for
13 BY MR. RICHARDSON:
13 two reasons.
14 Q My question - I am sorry, you haven't
14 Let me stop there, sir.
15 finished yet?
15 That is what you have basically testified to
16 a Okay.
16 is that at some point the members of the L.I.A.
n q Have you ever seen that document before?
17 stopped using lead paint on cribs; isn't that
18 A I believe I have.
18 correct?
Q It is not a document that the L.I.A. has
19 MR. SULLIVAN: Objection. I think that that
produced; isn't that correct, though, Mr. Smith?
20 mischaracterizes the testimony. Not many crib
21 A That is correct.
21 manufacturers and toy manufacturers were members of
Page 140 - Page 145
Evans Reporting Service
Multi-PageTM
Page 146
Page 147
1 the L.I.A.
1 Q They were forms of paints, though; isn't
2 A None of them were.
2 that correct?
3 Q Is it your understanding, sir, that the
3 A He says that. I am not aware that these
4 L.I.A. was aware that crib manufacturers were no
4 were individual paints or combination. I just don't
5 longer using lead on their cribs as of January 1944?
5 know.
6 A I believe that to be true, yes.
6 (Whereupon, Smith Deposition Exhibit Number
7 Q And he states two reasons why that was so.
7 21 was marked for identification.)
8 The first is that other paints such as zinc
8 BY MR. RICHARDSON:
9 oxide, lithopone and titanium-based enamels are
9 Q Mr. Smith, I am now showing you what has
to cheaper than white lead and, two, they make a harder
10 been marked as Deposition Exhibit Number 21. It is a
11 and more satisfactory enamel than white lead.
11 letter from Dr. Kehoe to Mr. Wormser of the Lead
12 And my question to you, sir, is the paints
12 Industries Association dated February 7th, 1944.
13 that he is referring to here zinc oxide, lithopone and
13 The front page of this exhibit is Bates
14 titanium-based enamels, were those lead-free paints?
14 stamped Plaintiff's Exhibit 1099.
15 MR. SULLIVAN: objection. If you know.
15 Then I will ask you, sir, if you have seen
16 A I do not know what you mean by lead-free
16 that document before?
17 paints, and I wouldn't be able to characterize it that
17 (Whereupon, document tendered to witness.)
18 way at all.
18 A Okay.
19 Q Okay. So you don't know one way or another
19 Q Have you ever seen that document before,
20 whether they were lead-free or not?
20 sir?
21 A No, no, I wouldn't.
21 A I believe I have.
Page 148
Page 149
1 Q This document seems to be in response to Mr.
1 documents -- well, strike that.
2 Wormser's letter of January 19th as it states in the
2 On page 2, he appears to be referring Mr.
3 first paragraph; isn't that correct?
3 Wormser to the data on lead poisoning ana children on
4 A Yes.
4 Queensland.
5 Q Do you have any idea from your review of the
5 Do you know whether or not -- I am sorry, I
6 documents, sir, as to why it was believed by Dr. Kehoe
6 haven't finished the question.
7 that Mr. Wormser would be disappointed in his answer 7 Do you know what I am talking about? The
8 to his letter?
8 second to last sentence in the first full paragraph.
9 MR. SULLIVAN: Objection.
9 Have you seen the data on lead poisoning in
10 A Yeah, I couldn't say.
to children in Queensland? Do you see that, sir?
u Q As of February of 1944, did your review of
11 A I do see it.
12 the documents in the possession of L.I.A. indicate any
12 Q Did your review of the documents in the
13 documents which discussed the mental retardation in
13 possession of the L.I.A. or the documents produced by
14 children as a result of lead poisoning?
14 the plaintiffs or the other defendants in these cases,
15 MR. SULLIVAN: Above and beyond this
15 did your review of any of those documents show you one
16 document here.
16 way or another whether or not Mr. Wormser was able to
17 MR. RICHARDSON: Above and beyond this
17 review that data on lead poisoning in connection with
18 document here.
18 the children in Queensland?
19 MR. SULLIVAN: Do you have a memory?
19 A No, there would be no way of knowing whether
20 A I do not recall any such thing.
20 he was and whether he had it.
21 Q Were you able to locate any other
21 Q So you did not see anything that would
Page 150
Page 151
1 indicate that?
1 it, so I don't think he knows.
2 A No.
2 Q I am not asking you whether or not you have
3 Q Thank you, sir.
3 seen the document, sir.
4 (Whereupon, Smith Deposition Exhibit Number
4 lam asking you do you believe that this
5 22 was marked for identification.)
5 appears to be a follow-up of the --
6 BY MR. RICHARDSON:
6 A It may be, I don't know.
7 Q Mr. Smith, I am now showing you what has
7 MR. SULLIVAN: I object.
8 been marked as Deposition Exhibit Number 22.
8 Q As you read the document, you see there is
9 It is a letter to Dr. Kehoe from Mr. Wormser
9 an indication on the bottom of page 1 where Mr.
10 dated July 25th, 1944 on L.I.A. letterhead, and the
10 Wormser states that he was interested in reading one
11 first page of the document is Bates stamped
11 of the reports of the Queensland lead poisoning
12 Plaintiff's Exhibit 1109, and I would ask you to take
12 literature that you were kind enough to let me
13 a moment to look at that and see if you have ever seen
13 examine.
14 that document before.
14 Does it appear, then, from this document,
is Have you ever seen this document before?
15 that Mr. Wormser did, in fact, have an opportunity to
16 (Whereupon, document tendered to witness.)
16 review at least one of the reports concerning the
17 A 1 don't believe so.
17 Queensland lead poisoning literature?
18 Q This appears to be a follow-up to the
18 MR. SULLIVAN: objection. I think the
19 preceding exhibit; isn't that correct?
19 document speaks for itself.
20 A It looks --
20 A I can't say that he did. It is not our
21 MR. SULLIVAN: Objection. He hasn't seen
21 document. I don't know.
Evans Reporting Service
Page 146 - Page 151
Multi-PageTM
Page 152
Page 153
1 Q You have seen nothing in your review of the
1 this letter--this letter says Wormser read it. I
2 documents to indicate that he has not seen that
2 don't understand that letter, if that is what you are
3 report, though, did you?
3 saying, beyond the letter, because this letter says he
4 MR. SULUVAN: Objection. A He may or may not. There is nothing to
indicate either way. 7 Q Okay. 8 (Whereupon, Smith Deposition Exhibit Number 9 23 was marked for identification.) 10 MR. SULUVAN: I think you ought to clarify 11 that 12 A Could you13 Q I am not going to repeat the question, sir. 14 lam ready for the next question. is lam now showing you what has been marked as 16 Deposition Exhibit -- what is the number? 17 (Whereupon, document tendered to witness.) 18 THE REPORTER: 23. 19 MR. RICHARDSON: You will have an 20 opportunity to clarify when it is your turn, sir. 21 MR. SULLIVAN: I think at the time -- beyond
4 did. 5 BY MR. RICHARDSON: 6 Q All right. You have been shown what has 7 been marked as Exhibit Number 23, sir, and I would 8 like you to take a moment to look at that and see if 9 you have ever seen that document before. 10 It is dated January 29th, 1945. It is a 11 letter from Dr. Kehoe to a Mr. J.H. Schaefer, 12 S-c-h-a-e-f-e-r, of the Ethyl Corporation.
13 It is Bates stamped on the front page 14 Plaintiff's Exhibit 1130. 15 MR. SULLIVAN: Have you ever seen that 16 before. 17 Q Have you ever seen this before? 18 A I have not. 19 Q From your review of the documents, Mr. 20 Smith, were you able to determine whether or not Mr. 21 Wormser ever received a copy of this?
Page 154
Page 155
1 MR. SULLIVAN: Objection.
1 BY MR. RICHARDSON:
2 A I didn't see.
2 Q I am now showing you what has been marked as
3 Q Okay. Was the Ethyl Corporation a member of
3 Deposition Exhibit Number 24..
4 the Lead Industries Association at this time?
4 It is a copy of the Executive Committee
s A I do not know.
5 meeting minutes of the L.I.A. dated December 28th,
6 Q Do you know whether or not the Ethyl
6 1945.
7 Corporation was a member of the Board of Directors of
7 . The First page of which is Bates stamped
8 the L.I.A. at this time?
8 L.I.A. 2710. It is parallel to the category
9 A I don't.
9 statistics.
10 Q Do you know whether or not the Ethyl
10 (Whereupon, document tendered to witness.)
11 Corporation ever made this document available to the
11 A Okay.
' L.I.A.?
12 Q My first question, sir, is, is this a
MR. SULLIVAN: Just listen. He was reading,
13 document that was produced by the L.I.A.?
14 so I don't know if he heard the first part of your
14 A Yes.
15 question.
15 Q On the first page under also present it has
16 Q Do you know whether or not the Ethyl
16 J.H. Schaefer of the Ethyl Corporation.
17 Corporation ever made this exhibit available to the
17 So at least as of December of 1945 this
18 Board of the L.I.A.?
18 appears to indicate that the Ethyl Corporation was a
19 A I do not know.
19 member of the L.I.A.; isn't that correct?
20 (Whereupon, Smith Deposition Exhibit Number
20 MR. s u l u v a N: objection. If--
21 24 was marked for identification.)
21 A I can't tellfrom that.
Page 156
Page 157
1 Q This says a meeting of the Executive
1 Q And the American Smelting and Refining
2 Committee of the L.I.A. industries association was
2 Company, weren't they also a member at that time?
3 held on Friday, December 28th, 1945 and it lists
3 A I think they were.
4 present one of which was the Ethyl Corporation.
4 Q And the United States Smelting, Refining and
5 Doesn't it, in fact, do that?
5 Mining Company, weren't they also a member at that
6 A It lists present, also present, yes.
6 time?
7 Q Would the L.I.A. have companies who were not
7 a I don't know.
8 members attend its Executive Committee meeting --
8 Q On page 2, sir, under safety and hygiene
9 Executive Committee meetings?
9 program -
10 MR. SULLIVAN: Objection.
10 MR. DAVID: I think that is page 3, if I am
u A I don't know. They may have.
11 not mistaken.
12 Q Have you seen anything to indicate that that
12 MR. RICHARDSON: Actually, it is page 3. I
13 was so?
13 am sorry.
14 MR. SULLIVAN: objection.
14 MR. SULLIVAN: is page 2 missing?
is A I have not seen anything either way.
15 MR. RICHARDSON: It is a copy on every
16 Q Wasn't the National Lead Company a member of
16 side. You don't have that on that exhibit?
n the L.I.A. at that time?
17 MR. SULUVAN: The next page is missing. We
18 A I believe they were.
18 go from document number 2710 to 2712 to 2714 to 2716.
' Q Wasn't the St. Joseph's Lead Company a
19 MR. RICHARDSON: I will make another copy of
. member of the L.I.A. at that time?
20 that and I will show you my copy. This is number -
21 A I believe they were.
21 THE REPORTER: 24.
Page 152 - Page 157
Evans Reporting Service
Multi-PageTM
Page 158
Page 159
1 MR. SULLIVAN: 24.
1 finish reading it and then we will answer the
2 BY MR. RICHARDSON:
2 question.
3 Q On page 3 which is 2712 under the category
3 (Whereupon, pause.)
4 safety and hygiene program, sir, it reads, after
4 MR. SULLIVAN: objection, but if you know.
5 discussion, it was felt desirable to engage in more
5 Q Let me rephrase the question so that you
6 activity along the lines of safely and hygiene in the
6 understand.
7 interest of better public and private information on
7 From your review of all of the documents,
8 lead, but it was not desirable at this time to
8 were you able to determine why it was that the L.I.A.
9 appropriate the suggested sum of $62,500 for the
9 decided at that point not to appropriate that amount
10 purpose.
10 of money for the purpose of developing better public
11 The secretary was authorized, however, to
11 and private information on lead?
12 add an assistant to help the staff in organizing in
12 MR. SULUVAN: objection.
13 carrying out this important phase of the Association's
13 A I do not know why.
14 activities.
14 Q If you can refer back to what is identified,
15 And my question to you, sir, is, were you
15 I guess, as L.I.A. 2727.
16 able to determine from your review of all ofthe
16 In fact, it begins on the previous page, and
17 documents why it was not desirable by the L.I.A. to
17 you may just want to look at those two pages to get a
18 appropriate that sum for the purpose of developing
18 complete reading of the document.
19 better public and private information on lead?
19 (Whereupon, pause.)
20 MR. SULLIVAN: Objection. We have to finish
20 a Okay.
21 reading. We just flipped to that section, so we will
21 Q All right. Isn't it true, Mr. Smith, that
Page 160
Page 161
1 the most important use of white lead was its use in
1 the history from up to this period.
2 paints?
2 Q Okay.
3 MR. SULLIVAN: objection.
3 MR. SULLIVAN: Keep your voice up.
4 A I can't say that. I don't know.
4 A Okay.
5 Q Has your review of the documents indicated
5 Q Those documents were in the possession of
6 one way or the other whether or not the most important
6 the L.I.A.?
7 outlet for white lead was its use in paints?
7 A Yes.
8 MR. SULLIVAN: objection.
8 Q Okay. On the next page, sir, the third full
9 A These documents, it is like 20,000 of them
9 paragraph, it reads in part, the Lead Industries
10 and I can't say right now that I recall that
10 Association in its internal thinking has always met
11 particular statement.
11 the problem of lead poisoning frankly and fearlessly.
12 Q Okay. Were you able to locate any documents
12 Externally it has avoided public discussion
13 from your review of the documents which would support
13 except where driven to a defense, and from your review
14 the statement that the Lead Industries Association
14 of the documents, sir, are you able to say why the
15 over a period of 15 years had a vast amount of
is L.I.A. decided to avoid public discussion of lead
16 experience in the field of both occupational and
16 poisoning unless driven to a defense?
17 public lead poisoning?
17 MR. SULLIVAN: objection.
18 A I am sorry?
18 Q If you know.
19 Q Were you able to locate any documents to
19 A I do not know.
20 support that statement?
20 Q And, again, on page L.I.A. 2728.
21 A Oh, yes, I think there are items throughout
21 MR. SULLIVAN: That is the next page.
Page 162
Page 163
1 A Oh.
1 conception that the ingestion of extremely minute
2 Q Number5 under education of medical
2 amounts of lead --
3 authorities.
3 MR. SULUVAN: where are you reading from
4 It says an investigation should be started
4 now, I am sorry?
5 sometime in the future endeavoring to prove that the
5 MR. RICHARDSON: The same thing.
6 ingestion of extremely minute amounts of lead contrary
6 BY MR. RICHARDSON:
7 to popular conception may be actually beneficial to
7 Q - was harmful?
8 public health.
8 MR. SULLIVAN: Would you repeat the
9 MR. SULLIVAN: Objection.
9 question, please, I am sorry.
10 Q Did I read that correctly?
10 Q Were you able to locate any documents from
u A You read it.
11 those that you reviewed which supported the statement
12 Q Okay. And my question to you, sir, is, from
12 or the contention that the ingestion of extremely
13 your review of the documents that the L.I.A. produced,
13 minute amounts of lead was harmful?
14 that the defendants produced and the plaintiffs
14 MR. SULLIVAN: Objection. We are talking
15 produced in this litigation, were you able to
15 back in 1945; is that correct?
16 determine whether or not such an investigation was, in
16 Q At any time from your review of the
17 fact, started?
17 documents, did you see any documents which would
18 MR. SULLIVAN: objection.
18 address that statement?
19 A I know of no such investigation.
19 MR. s u l l iv aN: objection from a time frame
20 Q Okay. Were you able to locate any documents
20 standpoint.
21 which supported the statement that it was the popular
21 A Yeah, this is a long period of time and
Evans Reporting Service
Page 158 - Page 163
Multi-PageTM
Page 164
Page 165
1 many, many --
1 (Whereupon, Smith Deposition Exhibit Number
2 Q Did you see any documents?
2 25 was marked for identification.)
3 A I saw no documents.
3 BY MR. RICHARDSON:
4 Q Okay. Had you heard the name Manfred
4 Q Sir, I am now showing you what has been
Bowditch before, sir?
5 marked as Deposition Exhibit Number 25.
. a Heard the name?
6 It appears to be a copy of the Executive
7 Q Yes. Dp you know who Manfred Bowditch was?
7 Committee meeting minutes dated April 2nd, 1948. The
8 A I know who he was, yes.
8 first page of which is Bates stamped L.I.A. 2770, and
9 Q And who was he?
9 I would ask you, first, is this a document that was
10 A At one time he was the director of hygiene
10 produced by the L.I.A.?
11 and safety, I believe.
11 (Whereupon, document tendered to witness.)
12 Q For whom?
12 A Yes, it was.
13 A For the Lead Industries Association.
13 Q If I can refer you and then will give you an
14 Q Okay. Were you aware, sir, that he was a
14 opportunity to read it, Exhibit A, which is L.I.A.
is graduate of Harvard College?
15 2775. Take a moment and read that.
16 A I don't think I was.
16 (Whereupon, pause.)
17 Q Were you aware, sir, that he was a lecturer
17 BY MR. RICHARDSON:
18 and instructor on industrial hygiene at the Harvard
18 Q Have you read the document, sir?
19 School of Public Health?
19 A I have read that page, yes.
20 A Yes.
20 Q Okay. Doesn't this particular page to the
21 MR. RICHARDSON: Mark this one.
21 exhibit state that there was an agreement, an
Page 166
Page 167
1 endorsement of a statement of policy between the
1 Q Is this an agreement between the two bodies,
2 American Zinc Institute and the Lead Industries
2 one is an institute and one is an Association, to
3 Association where under which they agreed not to
3 agree not to attack each other's products because to
4 attack any publicity concerning the particular
4 do so would be inimical to the interests of the
5 products or each or those Association's members?
5 combined industries?
6 MR. s u l l iv an : Objection. I think that is
6 MR. DAVID: objection.
7 your characterization. The document speaks for itself
7 MR. SULLIVAN: Objection. I think you are
8 as to what it says.
8 asking, one, for a legal conclusion and, two, the
9 Q I am sorry, let me read it into the record.
9 document speaks for itself.
10 lam reading paragraph 2.
10 BY MR. RICHARDSON:
11 The important outcome was the endorsement of
11 Q You can answer the question, if you know.
a statement of policy which declared that, while the
12 A Again, the document speaks for itself.
, American Zinc Institute and the Lead Industries
13 Q The document also seems to speak to the fact
14 Association should feel free to defend any unfair
14 that the National Paint Varnish and Lacquer
is attack upon zinc and lead and their products, any
15 Association would act as a referee to any such
16 defense measures used in behalf of one product which
16 disputes that could not be resolved between the
17 directly or indirectly, stated or implied, involved an
17 American Zinc Institute and the Lead Industries
18 attack upon another, should be declared inimical to
18 Association; isn't that, in fact, true?
19 the interests of the combined industries.
19 MR. SULLIVAN: Objection. That goes beyond
20 Did I read that correctly, sir?
20 what that paragraph says.
21 A You did.
21 The paragraph speaks for itself and it is
Page 168
Page 169
1 restricted to just unfair statements that are felt to
1 could read that section, sir?
2 be made between one group and the other group.
2 (Whereupon, pause.)
3 Q That is what I am talking about, sir.
3 A Okay.
4 A It says they should seek the assistance of
4 Q Sir, isn't it true that the L.I.A. believed
5 the MPVLA.
5 that most children who were lead poisoned received
6 Q Thank you, sir.
6 that lead poisoning as a result of their exposure to
7 (Whereupon, Smith Deposition Exhibit Number
7 lead-based paints?
8 26 was marked for identification.)
8 MR. SULLIVAN: Objection. You are not
9 BY MR. RICHARDSON:
9 referring to this document, you are asking generally?
10 Q Mr. Smith, I am now showing you what has
10 MR. RICHARDSON: I am not.
11 been marked as Deposition Exhibit Number 26.
11 MR. SULLIVAN: what time frame are you
12 It is a letter from Manfred Bowditch,
12 talking about?
13 Director of Health and Safety, L.I.A., to members of
13 MR. RICHARDSON: I am talking about all
14 L.I.A. dated December 1st, 1950, and the first page of
14 relevant times from the beginning of its inception up
15 it is Bates stamped L.I.A. 10784.
is until the 1970s.
16 My question to you, sir, is this a document
16 MR SULLIVAN: You are asking him to report
17 that the L.I.A. produced?
17 a whole history here --
18 (Whereupon, document tendered to witness.)
18 MR. RICHARDSON: He has reviewed the
A Yes, it looks like it is.
19 documents.
j Q If I can refer you, sir, to L.I.A. 10786 of
20 MR. SULLIVAN: Mr. Smith, give him the
21 that. Number 5 under reports of childhood, if you
21 story.
Page 164 - Page 169
Evans Reporting Service
Multi-PageTM
Page 170
Page 171
1 MR. CALDWELL: I object to the form of the
1 and I think they turned to blood leads both to try to
2 question.
2 determine if somebody had received too much lead, had
3 A You go back to the beginning, the inception,
3 taken in too much lead because these were biological
4 which you mentioned, I started just before lunch and
4 indicators.
5 mentioned the fact that there were efforts underway
5 They were the keys that, I think, Wormser
6 to -- by the Association to look at lead poisoning,
6 and possibly some of the others at that time who were
7 whatever the cause, and to try to determine how this
7 having trouble with this -- they really didn't know.
8 was happening and try to get to the bottom of it.
8 You know, there was no good way to determine
9 One of the efforts that showed promise was
9 who had an elevated blood lead and whether it was
10 removing lead, getting crib manufacturers and toy
10 actually that or some other thing that was causing
11 manufacturers to agree to remove lead paints from
11 this problem.
12 those products.
12 Later on there was considerable effort to
13 This was accomplished around 1933, and in
13 try to focus on blood and urine because these were
14 the meantime, of course, there was efforts, studies
14 considered good determinants.
15 going on through Dr. Aub and Fairhall and others to
15 There was a medical group that came up with
16 try to get a handle on how you actually determine what
16 dithizone as a means for analyzing for lead in urine
17 lead poisoning is, how you can point to it and say
17 and blood.
18 this is lead poisoning or this is not.
18 This made the whole picture much clearer and
19 There was an effort with X-ray fluorescence,
19 it was later on in years around 1960 we came in with
20 there were other efforts. Ultimately in the -- in
20 atomic absorption.
21 around the late '40s they, I think, turned to urine,
21 A little bit later than that there were
Page 172
Page 173
1 other improvements where you could get down into --
1 Q That is right.
2 measuring blood leads you are talking about parts per
2 A They were '49, and this had nothing to do
3 billion which is a very, very tiny amount ana there
3 with lead-based paint.
4 were developments where you could - in the late '70s
4 Q Did there come a time when you on behalf of
5 and long into the '80s and on into the '90s even new
5 the L.I.A. held the position that most children
6 methods were developed that would allow one to check
6 exposed -- who were lead poisoned received that lead
7 the blood and determine the level of lead in it.
7 poisoning as a result of their exposure to lead
8 Q All right. Now, whatever method was used at
8 paint?
9 whatever period of time that you have just gone over
9 MR. SULLIVAN: objection. Again, time
to to determine how or if a child was lead poisoned, once
10 frame.
11 a determination was made that a particular child was,
11 Q Did there --lam sorry.
12 in fact, lead poisoned, isn't it true that it was the
12 MR. SULUVAN: I may be --
13 L.I.A.'s position that that lead poisoning came from
13 MR. RICHARDSON: I am sorry. I don't want
14 that child's exposure to lead-based paint as opposed
14 you to answer for him.
15 to some other type of a lead product?
15 MR. SULLIVAN: I think the time frame
16 MR. SULLIVAN: Objection. Again, time
16 changed. If you want him to give you the story over
17 frame. If you want him to talk about '28 to '80, that
17 time, he will do that.
18 is okay.
18 MR. RICHARDSON: He already did that.
19 Q Yes.
19 MR. SULLIVAN: if you want the knowledge --
20 A We before looked at a case in Baltimore, as
20 A If you want to --
21 a matter of fact, of battery cases.
21 MR. RICHARDSON: I actually never asked you
Page 174
Page 175
1 how you determined. That is what you went off on.
1 Q Mr. Smith, let me give you a transcript of
2 BY MR. RICHARDSON:
2 your deposition in the Santiago case.
3 Q Sir, let me be very specific.
3 lam looking for the date of this, October
4 In fact, isn't it true you testified in the
4 19th, 1989, and I would like to show you page 150. It
5 past that there came a time when you believed that
5 is midway down the page where the question begins, as
6 most children who were lead poisoned received that
6 we sit here today in 1989. If you could read that
7 lead poisoning as a result of their exposure to lead-
7 question and answer out loud, please.
8 based paint?
8 (Whereupon, transcript tendered to witness.)
9 MR. SULLIVAN: objection. Again, time
9 MR. SULLIVAN: You want him to answer
10 frame. You are talking from '28 to 1980 --
10 today's answer or the answer that he had at the time?
11 MR. RICHARDSON: I am sorry, Mr. Sullivan, I
11 MR. RICHARDSON: The answer that he had at
12 am asking him, isn't it true that he has testified to
12 the time.
13 that in the past? There is no time frame to that
13 MR. SULLIVAN: Okay.
14 question.
14 A Question, as we sit nere today in 1989, does
15 MR. SULLIVAN: He is, I presume, the L.I.A.
is the L.I.A. have a position as to whether or not most
16 and the L.I.A. had various positions at various
16 children who are alleged to have lead poisoning have
17 times.
17 that poisoning as a result of exposure to lead-based
18 MR. DAVID: Overruled.
18 paints as opposed to exposure to lead from other
19 MR. SULLIVAN: if you want him to give you
19 sources?
20 that history, he will do so.
20 Answer, I believe that to be a fact.
21 BY MR. RICHARDSON:
21 Q Thank you. That was your answer as of that
Evans Reporting Service
Page 170 - Page 175
Multi-PageTM
Page 176
Page 177
1 time? 2 A That was my answer.
1 a report in the increase in the number of cases at the 2 Children's Hospital in Cincinnati has yet to be
3 Q And you spoke on behalf of the L.I.A. at
3 confirmed.
4 that time?
4 Do you know whether or not they went to that
A I did.
5 hospital to attempt to confirm those cases of alleged
MR.SUt.UVAN: objection.
6 childhood lead poisoning?
7 Q Now, with respect to this exhibit now before
7 A In 1950?
8 you, sir, on the page L.I.A. 10786, from your review
8 Q Yes.
9 of the documents, sir, were you able to determine
9 A I know there was -- did Dr. Byers do that?
to whether or not the L.I.A. ever investigated to confirm
10 lam not sure. I know there were -- there was
11 any of these 29 cases of lead poisoning in Baltimore?
11 research done in Cincinnati on childhood lead
12 MR. SULLIVAN: In 1950?
12 poisoning about that time.
13 MR. RICHARDSON: Yes.
13 Q Have you ever seen correspondence or
14 A I believe they wanted to investigate this
14 documents generated by the L.I.A. where those
15 through Johns Hopkins.
15 documents reflected confirmations of childhood lead
16 Q Do you ever know if they ever did?
16 poisoning?
17 A I believe they did. I believe it was Dr.
17 MR. SULUVAN: Objection. Are you talking
18 Chisolm, I believe.
18 from 1928 to 1980?
19 Q Okay.
19 MR. RICHARDSON: 1928 to the mid 1970s.
20 A I believe who did that work.
20 MR. CURTIS: I object to the form of the
21 Q All right. In that same paragraph it says.
21 question.
Page 178
Page 179
1 MR. SULLIVAN: Objection.
1 question.
2 A Restate that, please.
2 BY MR. RICHARDSON:
3 Q Have you ever seen any documents, L.I.A.
3 Q Let me try this one more time, sir.
4 documents, which reflected a confirmation of childhood 4 All I am trying to find out is that there is
5 lead poisoning between 1928 and the mid 1970s?
5 a lot of indication in these documents about how the
6 MR. DAVID: objection to the form of the
6 L.I.A. is always trying to address each case as it
7 question, it has nothing to do with lead paint.
7 comes up for the purpose of trying to determine
8 MR. SULLIVAN: objection.
8 whether or not it is a legitimate case of childhood
9 BY MR. RICHARDSON:
9 lead poisoning or not and my question to you, sir, is,
10 Q You may answer the question.
10 have you seen any documents which would state that we
11 MR. SULLIVAN: I am confused.Confirmation
11 went to a particular city, we investigated and, yes,
of childhood lead poisoning reported by whom to whom?
12 in fact, those cases are legitimate cases of childhood
MR. RICHARDSON: By anybody to anybody.
13 lead poisoning?
14 MR. SULLIVAN: y o u mean like an article or
14 MR. SULLIVAN: Objection.
15 letter to the L.I.A. We have to define what it is --
15 MR. DAVID: Object to the question.
16 MR. RICHARDSON: We don't have to define. I
16 BY MR. RICHARDSON:
17 understand that you are confused though.
17 Q Have you seen any documents where that
18 MR. SULLIVAN: Maybe the witness is.
18 confirmation has been reflected, to the extent that
19 MR. RICHARDSON: Well, we sure know that you
19 you know?
20 are.
20 MR. DAVID: Objection, irrelevant and
21 MR. SULLIVAN: Yes, I am. It is a bad
21 unrelated to lead paint.
Page 180
Page 181
1 Q You can answer the question.
1 A That is what it appears.
2 MR. SULLIVAN: objection. We have - asked
2 MR. CURTIS: I object to the question.
3 and answered, we have talked about the Baltimore
3 MR. SULLIVAN: Objection. You mean as to
4 investigation, we have talked about these two
4 whether it was to confirm that there was or wasn't?
5 investigations. He has answered it.
5 The investigation is to determine whether
6 MR. RICHARDSON: He has not answered it. I
6 something is or isn't
7 have never asked that question before.
7 MR. RICHARDSON: I am not interested in any
8 BY MR. RICHARDSON:
8 investigation to determine whether there is or isn't
9 Q Can you answer that question, sir?
9 as I have stated very clearly so far.
10 MR. SULLIVAN: would you read back the
10 BY MR. RICHARDSON:
11 question?
11 Q I am trying to ask you as to whether or not
12 (Whereupon, the record was read by the
12 your review of the documents has shown any documents
13 reporter.)
13 whether any member of the L.I.A. or any employee of
14 MR. SULLIVAN: objection. These are or are
14 the L.I.A. has stated in that document that the
15 not legitimate childhood cases.
15 investigation was done and the results of that
16 BY MR. RICHARDSON:
16 investigation showed conclusively that there was
17 Q You can answer, sir.
17 legitimate cases of childhood lead poisoning aS a
18 A I would hold up the Johns Hopkins effort
18 result of exposure to lead-based paint?
' right here as one example.
19 MR. DAVID: I object to the form of the
Q Of a confirmation of childhood lead
20 questioning to the extent that if the witness has not
21 poisoning?
21 seen any such documents, such document never did exist
'age 176 - Page 181
Evans Reporting Service
Multi-PageTM
Page 182
Page 183
1 or doesn't exist at this point.
1 publicity and warrant every effort to find effective
2 A I have not seen them at this point.
2 preventive measures. I am sorry, means.
3 Q That is all I am asking, whether or not you
3 Do you see that, sir?
4 have seen any documents.
4 MR. DAVID: I object to the question. It is
5 MR. SULLIVAN: Again, time frame is of
5 irrelevant, immaterial, has nothing to do with lead
6 concern to me.
6 paint.
7 We talked this morning about a case where
7 MR-RICHARDSON: I believe it does. That is
8 they were notified and did investigations at Harvard
8 why I am asking the question.
9 and Dr. Aub and so forth. He has also pointed to this
9 MR. DAVID: Do you see lead paint in that
10 investigation here.
10 paragraph?
11 MR. RICHARDSON: we are not talking about
11 MR. RICHARDSON: I don't have to see lead
12 investigations. We are talking about confirmations.
12 paint in that paragraph to ask the question and you
13 It is a big difference between the two.
13 know that to oe true.
14 MR SULLIVAN: You get confirmation through
14 MR DAVID: I know it is irrelevant and
15 an investigation. Sometimes it may say yes and may
15 misleading.
16 say no.
16 MR RICHARDSON: You may think it is
17 BY MR. RICHARDSON:
17 irrelevant and misleading.
18 Q Now, the same document, sir, number 5, the
18 MR DAVID: I know it is irrelevant and
19 last sentence, it reads as follows:
19 misleading --
20 Whether justified or not, there obviously --
20 MR. RICHARDSON: You are not God, you don't
21 lam sorry, these obviously constitute most adverse
21 know --
Page 184
1 MR. DAVID: That is all right, sir, you
1
2 don't want to know the truth.
2
3 MR. RICHARDSON: You don't want to know the
3
4 truth. Your client -- never mind.
4
5 MR. SULLIVAN: Let me get my objection in
5
6 here.
6
7 Reading that sentence, obviously it refers
7
8 to these issues, the word these, and that has to be
8
9 defined which is defined by all of that information
9
10 that consists in the previous, you know, multiple
10
11 sentences that precede it, and I think that to ask him
11
12 if those are the words, yes, those are the words,
12
13 but -
13
14 MR. RICHARDSON: I don't want you to testify
14
15 that those are the words. I am asking him.
15
16 MR. SULUVAN: You have the potential to use
16
17 this videotape deposition and to read one small
17
18 portion of a paragraph that contains a few words but
18
19 yet a reference to a whole series of things that
19
20 precede it and just use those minor words to
20
21 mischaracterize the paragraph is inappropriate.
21
Page 185
MR. RICHARDSON: I don't think that is my -MR. SULUVAN: He should have the whole paragraph available and read it all into the record
and so the -BY MR RICHARDSON:
Q And you have had an opportunity to read that paragraph to yourself, have you not?
MR. SULUVAN: I think he ought to read the whole paragraph into the record. If you want to ask him about the last sentence, he should read the whole paragraph.
Q My question to you, sir, is this: Isn't it true that the most effective,
preventive means of avoiding adverse publicity with respect to childhood lead poisoning is to take the lead out of the products that was causing the lead poisoning?
MR. SULUVAN: Objection. That is not what that paragraph says.
MR RICHARDSON: I am not asking him if that is what the paragraph says. This is my question to
Page 186
Page 187
1 the witness.
1 L.I.A. 10886.
2 MR. CURTIS: I object.
2 I ask you to take a look at that and see if
3 MR. SULLIVAN: He doesn't even understand
3 you have ever seen that before or whether or not that
4 the question. It doesn't make any sense.
4 document was produced by the L.I.A.?
5 A No.
5 (Whereupon, document tendered to witness.)
6 Q Okay, that is fine.
6 MR. SULLIVAN: is the date --
7 MR. s u l u v a N: what did you say?
7 MR. RICHARDSON: The date is on the last
8 THE WITNESS: I said no.
8 page.
9 MR. RICHARDSON: He understood the
9 MR. SULLIVAN: Oh, thank you.
10 question.
10 MR DAVID: Mr. Sullivan, what is the Bates
11 MR. RICHARDSON: Mark this, please.
11 number on that, please.
12 (Whereupon, Smith Deposition Exhibit Number
12 MR. SULLIVAN: It is L.I.A. 10886. It looks
13 27 was marked for identification.)
13 like this.
14 MR DAVID: Are we going to get into
14 MR. DAVID: Thank you.
15 anything during the time period he was actually
15 (Whereupon, pause.)
16 employed there?
16 BY MR. RICHARDSON:
17 BY MR. RICHARDSON:
17 Q Is this a document, sir, that has been
18 Q I am now showing you, sir, what was marked
18 produced by the L.I.A.?
19 as Exhibit Number 27. It is a report from Manfred
19 A Yes, I believe it has.
20 Bowditch dated January 1952 under the L.I.A.
20 Q You have seen this document before?
21 letterhead, the front page of which is Bates stamped
21 A I do not recall seeing this document. I
Evans Reporting Service
Page 182 - Page 187
Multi-PageTM
Page 188
Page 189
1 missed it.
1 you able to determine why that was of some concern to
2 Q It appears to be a listing by state as to
2 the L.I.A. at that time?
3 whether or not a particular state requires some form
3 A No. In fact, I couldn't even find what you
4 of labeling on its products.
4 were referring to here. Let me read it, please.
Is that your reading of the document, sir?
5 Q Sure.
> MR. SULLIVAN: Objection. That is your
6 A Okay. And your question was?
7 characterization. The document speaks for itself.
7 Q From your review of all of the documents,
8 Q That is what I am asking.
8 are you able to determine why the L.I.A. was concerned
9 Do you interpret this document to be a
9 about the warning labeling requirements of those four
10 listing by state of the -
10 states in January of 1952?
n A It is very hard to read, but it looks as
11 MR. SULUVAN: Objection. If you know.
12 though it was an inquiry made to these various
12 A I believe that, at that time, the
13 states.
13 Association was interested in working with states to
14 Q As to?
14 -- to help them in determining what land of warning
15 A As to whether or not they had to use warning
15 labels they wanted for their paint products.
16 labels.
16 It may be that -- well, that is
17 Q The last page, sir, L.I.A. 10890, the
17 speculation.
18 paragraph seems to state that the only states
18 Q Okay, if you don't know, I don't want you to
19 requiring warning labeling that are of some concern
19 speculate.
20 are California, Hawaii, Illinois and Ohio.
20 A I don't. This was an effort that preceded
21 And from your review of the documents, are
21 the L.I.A.'s work with trying to get an a n s i or a s a
Page 190
Page 191
1 standard developed, Z66, which did require warning
1 Q Okay. I would like to refer you to page
2 labels as I understand it. And this took place in
2 L.I.A. 22114 and ask you to read -- and the next page,
3 '53, '54 and '55, so this was a precursor to that.
3 to read the section on lead hygiene.
4 L.I.A. was trying to help gather the
4 lam only interested in the sections 1, 2, 3
5 information and get something moved along to get that
5 and 4, but so that you will have a complete reading of
6 in place.
6 the section and be able to answer the question.
7 Q I see. Thank you, sir.
7 A Okay.
8 (Whereupon, Smith Deposition Exhibit Number
8 Q So the paragraph number 4 states that
9 28 was marked for identification.)
9 childhood lead poisoning continues to be our most
10 BY MR. RICHARDSON:
10 troublesome problem and the cause of much publicity.
11 Q I am now showing you, sir, what has been
11 We have accumulated hundreds of newspaper
marked as Exhibit Number 28.
12 clippings on the subject. It is evident that these
j It appears to be a report of the Secretary
13 cases cannot be run down individually, case by case,
14 of the L.I.A. to the members of the Lead Industries
14 with any hope of curing the situation.
15 Association dated April 9th, 1952, the front page of
15 An overall broad approach of education of
16 which is Bates stamped L.I.A. 22111.
16 the medical profession, education of parents and other
17 And my first question after you have had a
17 protective measures seems essential.
18 chance to look at it, is this a document that was
is And my question to you, sir, is from your
19 produced by the L.I.A.?
19 review of the documents, were you able to identify
20 (Whereupon, document tendered to witness.)
20 anything which reflected specific attempts on the part
21 A Yes, it is.
21 of the L.I.A. to educate the parents?
Page 192
Page 193
1 A Yes.
1 real.
2 Q And what documents were they?
2 And that was a very difficult thing to do,
3 A I am glad you asked.
3 as I went through the litany before. Each one of
4 MR. SULLIVAN: Objection, but go ahead, if
4 these steps improved the ability to diagnose.
5 you can answer.
s It was something that the association was
6 A There were many things that the Association
6 doing way before a lot of others.
7 did --
7 Q I appreciate your response, but that really
8 Q In 1952?
8 wasn't a response to my question.
9 A -- along these lines, yes, sir, education
9 My question was, can you state for me
10 being very important. We obtained documents from the
10 specific attempts on the part of the L.I.A. to inform
11 Public Health Service dealing with this. These were
11 tne parents, only the parents.
12 distributed broadly.
12 A No, you didn't mention parents.
13 I believe that the Association itself
13 Q I stated parents. You talked about studies
14 undertook to develop a booklet entitled. Lead and
14 that they got involved with and you talked about how
15 Pediatrics. That was put together to help direct
isthey informed the medical profession.
16 information to the medical community.
16. A Absolutely.
17 In addition, through the studies at Johns
17 Q Are you aware of any efforts on the part of
'8 Hopkins and Harvard and Cincinnati, we were attempting
18 the L.I.A. as of 1952 to inform the parents about the
to get the best medical people known to work on means
19 problems of childhood lead poisoning?
j for improving the diagnostics, how to run a blood lead 20 MR. Su l l iv a n : objection.
21 and be sure that the numbers you were getting were
21 Q You can answer.
Page 188 - Page 193
Evans Reporting Service
Multi-PageTM
Page 194
Page 195
1 A There were -- obviously the work that was
1 Anybody else want to say something?
2 being done with the ASA which is cited right here is
2 MR. WHITEHEAD: The basis of my objection is
3 aimed at -- certainly at parents.
3 that the reason I thought it was argumentative is that
4 This is labeling of these materials to show
4 there are lots of ways you can inform parents.
5 parents and others not to use them.
5 And I think you may be talking about one
6 Q We will get to that in a minute as to
6 way, but people may consider other methods such as
7 whether or not that is what that ASA did.
7 educating the medical profession, pediatricians, et
8 A Okay. But beyond that there were many, many
8 cetera, as a way to get information out and maybe as
9 efforts.
9 effective or less effective.
to Q But can you name one?
10 That is the reason.
it A I just named three or four. I thought I
11 BY MR. RICHARDSON:
12 named --
12 Q Thank you. I won't be looking at that
13 Q About the parents now. I am not talking
13 again.
14 about the medical profession or the studies.
14 (Whereupon, Smith Deposition Exhibit Number
15 MR-CURTIS: objection.
15 29 was marked for identification.)
16 MR. SULLIVAN: I object. He has testified
16 A It was all basically based on economics --
17 earlier about the Baltimore situation where they were
n MR. SULLIVAN: Wait for the question.
18 able to investigate and solve that problem with the
18 Q I am showing you what has been marked as
19 burning of the --
19 Exhibit Number 29. It appears to be a Board of
20 MR. RICHARDSON: I don't remember that being
20 Directors meeting minutes of the L.I.A. dated April
21 his testimony.
21 10, 1953, the Bates stamp which is L.I.A. 502.
Page 196
Page 197
1 And I would ask you, sir, if you have ever
1 Do you see that, sir?
2 seen that document before and whether it is a document
2 A I do see it
3 that has ever been produced by the L.I.A.?
3 Q Do you know whether or not that merger, in
4 (Whereupon, document tendered to witness.)
4 fact, took place at some point in time?
5 A Yes.
5 A I do not, but I don't think it did.
6 Q On the face page, sir, under those present
6 Q You do not think it did?
7 is Mr. Costello of the Ethyl Corporation.
7 A I do not.
8 To the extent that we were discussing
8 Q Okay. If I can refer you to L.I.A. 511 of
9 earlier as to whether or not Ethyl Corporation was a
9 that document.
10 member of the L.I.A., does this in any way refresh
10 MR. SULLIVAN: 511?
11 your memory as to whether or not they were or were not
11
MR. RICHARDSON: Yes.
12 a member of the L.I.A.?
12 Q Do you see that, sir?
13 MR. SULLIVAN: Objection. Objection.
13 A Yes.
14 A This wouldn't refresh my memory.
14 Q It is dated April 10th -- I am sorry, April
15 Q Okay. Did there come a time when the
15 6th, 1953.
16 American Zinc Institute merged with the L.I.A.?
16 MR. SULLIVAN: is that a question or just a
17 MR-SULLIVAN: objection.
17 statement?
18 A Not to my knowledge.
18 MR. RICHARDSON: ljust want to make sure he
19 Q On page L.I.A. 503. On the bottom of that
19 has got the right page.
20 there is a category of merger of American Zinc
20 A Oh, yes, yes.
21 Institute of L.I.A.
21 Q Have you read it?
Page 198
Page 199
1 A I have not.
1 document speaks for itself.
2 (Whereupon, discussion off the record.)
2 As to other documents, are you talking about
3 (Whereupon, a brief recess was taken.)
3 time frame again?
4 THE VIDEOGRAPHER: we are back on the
4 Q From your review of the documents, were you
5 record. The time is approximately 2:17.
5 ever able to determine what was meant by that phrase?
6 BY MR. RICHARDSON:
6 MR. SULLIVAN: Just a tendency in some
7 Q Mr. Smith, if I can, again, direct you to
7 quarters?
8 the last page of the exhibit before you.
8 Q To regard any exposure as causing gradual
9 The Fust paragraph, there is a phrase in
9 impairment to the circulatory and renal systems.
10 that that states there is a tendency in some quarters
10 MR. DAVID: I am going to object to the
11 to regard any exposure to lead as possibly causing
11 questioning about this document, in particular, that
12 gradual impairment of the circulatory ana renal
12 portion of the document, if it is an effort in any way
13 systems.
13 to bootstrap some sort of hearsay medical speculation
14 The opinion has been held by some that the
14 into this record.
15 degenerative changes thus produced in the heart and
15 MR. SULLIVAN: And I would also raise an
16 kidneys may lead to disease and death without any
16 objection. This letter deals with industrial hygiene
17 symptom or lead poisoning itself.
17 issues, and I think that those are the -- the renal
18 My question to you, sir, is were you able to
18 failure and so forth we are talking about is involved
19 determine from your review of the documents as to what
19 in an industrial setting.
20 was meant by a tendency in some quarters.
20 MR. CURTIS: Could I hear the question back,
21 MR. SULLIVAN: Objection. I think this
21 please.
Evans Reporting Service
Page 194 - Page 199
Multi-PageTM
Page 200
Page 201
1 (Whereupon, the record was read by the
1 members of the L.I.A.; isn't that correct?
2 reporter.)
2 (Whereupon, document tendered to witness.)
3 MR. SULLIVAN: if you can answer it, answer
3 MR. SULLIVAN: Objection. If you know.
4 it yes or no.
4 A I do not know, but they would today.
A No, this may have to do with the ability,
5 MR. SULLIVAN: He is talking about 1953.
again -- coming back to that discussion we had
6 a And I wasn't there, I don't Know, but,
7 earlier, the ability to actually measure precisely the
7 again, they should and most likely did go to all
8 lead in the blood and lead in the body.
8 members.
9 Q All right.
9 Q Thank you.
10 (Whereupon, Smith Deposition Exhibit Number
10 Is this a document that was produced by the
11 30 was marked for identification.)
11 L.I.A.?
12 BY MR. RICHARDSON:
12 A Yes, it is.
13 Q I am now showing you, sir, what has been
13 Q Did there come a time when the L.I.A.
14 marked as Exhibit Number 30 which appears to be a
14 published a book entitled. Lead in Modem Industry?
15 report of the Secretary of the L.I.A. to members of
15 A Yes.
is the Lead Industries Association dated March 27th,
16 Q Have you ever seen that book?
17 1953.
17 A I have.
18 And the first page of this document is Bates
18 Q Have you read that book?
19 stamped L.I.A. 22717.
19 A I think I have read most of it.
20 And let me just ask you initially, sir,
20 Q Did you see any indication in that book
21 these reports of the Secretary, they went to all
21 about the hazardous nature of lead paint?
Page 202
Page 203
1 MR. SULLIVAN: objection. I think you
1 lead hygiene, number 4 specifically.
2 should establish when he read it and --
2 MR. s u l l iv a n : I want to have him read the
3 Q Whenever you read the book, did you ever
3 whole section and then he can respond to specifics.
4 see anything in the book about the hazardous nature of
4 MR. RICHARDSON: Okay.
5 lead paint?
5 (Whereupon, pause.)
6 A There is a section on industrial hygiene, I
6 BY MR. RICHARDSON:
7 believe.
7 Q Have you read it, sir?
8 MR. SULLIVAN: if you recall. If you don't
8 A Yes, I have.
9 recall --
9 Q Number 4 states that the Association is
10 A Other than that, I don't recall. There is a
10 sponsoring and is represented on a committee of the
11 section, I believe, on industrial hygiene.
11 American Standards Association which will endeavor to
` Q If I can refer you to the page L.I.A.
12 establish standards for the safe labeling of paint to
22720. Well, let me strike that.
13 be used on children's furniture and toys.
14 L.I.A. 22719, and under the bulletins and
14 And my question to you, sir, is the American
15 publications section, I simply want to determine
15 Standards Association the outfit that you were talking
16 whether or not this indicates that the book we were
16 about earlier when you were talking about the safe
17 just talking about was, in fact, published sometime
17 limits used on children's furniture and toys?
18 around 1953.
18 A Yes.
19 Is that correct?
19 MR. s u l l iv a n : Objection.When you are
20 A I think it was, yes.
20 talking 1935 or are you talking --
21 Q Okay. And then on the next page, sir, under
21 MR. RICHARDSON: I amjustasking him if
Page 204
Page 205
1 this is the same organization he talked about before.
1 cases of lead poisoning were, in fact, legitimate
2 MR. SULLIVAN: y o u are talking about toys
2 cases?
3 and cribs and you made it very much specific and that
3 MR. SULLIVAN: objection. You mean itself
4 was a 1930s issue.
4 or through sponsoring other things?
5 MR. RICHARDSON: This says furniture and
5 If you do it in two parts, maybe he can
6 toys.
6 answer it.
7 BY MR. RICHARDSON:
7 MR. r ic h ar d s o n : He may be able to answer it
8 Q Is this the same ASA that you talked about
8 now.
9 earlier, sir?
9 BY MR. RICHARDSON:
10 A I believe it is.
10 Q Do you know whether or not the L.I.A. ever
11 Q It says here the association is sponsoring.
11 undertook any efforts to determine how many of these
12 What is meant by that?
12 500 cases of alleged lead poisoning were, in fact,
13 A I do not know.
13 legitimate cases?
14 Q In number 8 it talks about nearly 500
14 A Yeah, I think they were channeled, and, in
15 newspaper clippings featuring lead poisoning were
15 fact, Wormser said in nis communique and others that
16 received in the year 1952.
16 he sent these to Aub at Harvard, he sent some of these
17 Does the L.I.A. currently possess any of
17 to Kehoe, he sent them to Johns Hopkins and so on.
18 those newspaper clippings?
18 Q Sir, by 1953 Wormser was no longer Secretary
A Not that I know.
19 of the L.I.A.; is that correct?
Q Okay. Was there any effort on the part of
20 A It is true, but it was still being followed
21 the L.I.A. to determine how many of those alleged
21 up, I am sure, by Ziegfeld and Bowditch.
Page 200 - Page 205
Evans Reporting Service
Multi-PageTM
Page 206
Page 207
1 Q Ziegfeld at this time was the Secretary of
1 in the literature.
2 the L.I.A.?
2 MR. RICHARDSON: Please.
3 A That is what it says. They continued to
3 (Whereupon, Smith Deposition Exhibit Number
4 fund -- it says right here, they continued to grant
4 31 was marked for identification.)
5 monies to these schools to follow up on these to try
5 BY MR RICHARDSON:
6 to do intensive study on the problems to get as much
6 Q Sir, I am now showing you what has been
7 information as possible on it.
7 marked as Deposition Exhibit Number 31.
8 Q My question, though, sir, is whether or not
8 It is another report of the Secretary of the
9 you are able to determine from your review of the
9 L.I.A. to members or the L.I.A. dated April 12th,
10 documents whether the L.I.A. actually investigated
10 1954, the first page of which is Bates stamped L.I.A.
11 these specific 500 cases to determine which ones of
11 22798.
12 those were, in fact, legitimate cases?
12 Do you have that before you?
13 MR. CURTIS: Objection, argumentative.
13 (Whereupon, document tendered to witness.)
14 MR. SULLIVAN: objection. I think he has
14 A Ido.
15 answered it partially by referring you to paragraph
is Q Okay.
16 12270, and there may be others.
16 Is this a document that was produced by the
17 Q Did you find such indication in the records,
17 L.I.A.?
18 sir? 19 A Other than what we just cited, no.
18 A I believe it was. 19 Q If I may refer you to L.I.A. 22803, and ask
20 Q Thank you. 21 A I am sure there were others. They are right
20 you to take a moment to read the section on lead 21 hygiene, or rather, just hygiene.
Page 208
Page 209
1 (Whereupon, pause.)
1 Do you know whether or not the Paint
2 MR. SULLIVAN: I am sorry, what was the page
2 Association referred to here is the National Paint,
3 again, Mr. Richardson?
3 Varnish and Lacquer Association?
4 MR. RICHARDSON: 22803.
4 MR s u l l iv a n : Objection. If you know.
5 (Whereupon, pause.)
5 A I do not
6 A Okay.
6 Q You do not know?
7 Q Okay, sir.
7 A I do not know.
8 Number one in that section states that
8 Q On the next page, sir, number 6, it says a
9 childhood lead poisoning continues to be our major
9 committee of the American Standards Association in
10 "headache" and source of adverse publicity.
10 which both this Association and the Paint Association
11 Do you have any idea, sir, why they chose to
11 are well represented has been formed to establish
12 put the word headache in quotes?
12 standards for "safe" labeling of paint for children's
13 MR. SULLIVAN: Objection.
13 toys and furniture.
14 A I do not.
14 And my first question to you, sir, is to
15 Q Okay. Threats of poison-labeling
15 what extent were both of these associations, if you
16 regulations for lead paints have come from health
16 know, represented on the ASA?
17 authorities in New York, Chicago and some other
17 MR. SULLIVAN: Objection. When you say
18 cities.
18 both, are you referring to --
19 We are working with the Paint Association to
19 MR. RICHARDSON: It is talking about the
20 combat these moves with the outcome promising, but
20 Association and the Paint Association.
21 still in doubt.
21 Q If you know, to what extent were they well
Page 210
Page 211
1 represented on that?
1 or -- what are you referring to?
2 A I don't.
2 MR. RICHARDSON: I agree. Let me rephrase
3 Q And do you have any idea why they, again,
3 the question.
4 chose to put the word in this case "safe" in quotes?
4 BY MR. RICHARDSON:
5 MR. SULLIVAN: if you know.
5 Q Do you have any understanding as to what was
6 A I don't know. I think they were looking at
6 meant by the phrase -- by the sentence that, where
7 getting the --
7 possible, these have been followed up with a view to
8 MR. SULLIVAN: That was - you have answered
8 correcting misconceptions and misstatements, often
9 his question.
9 with gratifying results.
10 THE WITNESS: Okay.
10 Do you know what kind of results were
11 Q Number 13. Adverse publicity at the rate
11 attained from this?
12 of 30 to 40 newspaper items per month has appeared on
12
MR. SULLIVAN: objection.
13 the effects of lead on children, adults, livestock and
13 A I do not.
14 wildfowl.
14 Q Okay. And while this seems to state that
15 Wherever possible, these have been followed
15 they were interested in correcting misconceptions and
16 up with a view to correcting misconceptions and
16 misstatements, is there anything in this document to
17 misstatements, often with gratifying results.
17 indicate -- or at least in tms session, to indicate
18 Do you know what he meant by that?
18 that they also attempted to determine whether any of
19 MR. SULLIVAN: Objection. There are
19 them were, in fact, legitimate cases of poisoning?
20 multiple parts as to whether you are referring to the
20 MR. SULLIVAN: objection.
21 article or whether you are referring to the results
21 A Could you rephrase that?
Evans Reporting Service
Page 206 - Page 211
Multi-PageTM
Page 212
Page 213
1 Q Do you see anything in this section where
1 Q Do you have any specific document in mind
2 the L.I.A. states that not only were they interested 3 in correcting misconceptions and misstatements, but
2 that you can refer me to? 3 A It is in the materials that you have. There
4 they were also interested in determining whether or * not any of these alleged cases of lead poisoning were
legitimate? 7 A They certainly had indicated that they were
4 are several references. 5 Q Do you recall any of them today as you sit
6 here? 7 A I couldn't at this moment put my finger on
8 shipping the publicity and pieces to the medical 9 researchers who were looking into it. to Q Where does it say that, sir? 11 A Well, they have said that, for instance, in 12 number 2 here and -13 Q Number 2 talks about research going on at
14 Johns Hopkins? is A Right.
8 it 9 Q Okay. 10 (Whereupon, Smith Deposition Exhibit Number
11 32 was marked for identification.) 12 BY MR. RICHARDSON: 13 Q Sir, I am now showing you what has been 14 marked as Deposition Exhibit Number 32. 15 It appears to be a copy of the American
16 Q Is there an indication that that research
16 Standards specifications to minimize hazards to
17 has anything to do with the 30 to 40 newspaper items 18 that came in per month? 19 A There are other documents that indicate that 20 these clippings were -- where they wanted to follow up 21 on it, were routinely sent to these doctors.
n children from residual surface coating materials 18 sponsored by the American Academy of Pediatrics dated
19 February 16, 1955 and ask you if you have ever seen 20 that document before? 21 The first page of that is Bates stamped
Page 214
Page 215
1 Plaintiff's Exhibit 1254 and it also has a Sherwin-
1 A I don't think they were.
2 Williams Bates stamp number on it.
2 Q Would you consider them a public health
3 (Whereupon, document tendered to witness.)
3 concern or a business -- or a business entity that is
4 MR. SULLIVAN: This copy is a very fuzzy
4 involved in the manufacturing, selling, marketing,
5 copy. It is hard to read some of it. We can make out
5 and/or any way related to lead products?
6 parts of it.
6 MR. SULLIVAN: Objection. If you know.
7 Q Have you ever seen that document before?
7 A I don't know that they ever used lead.
8 A It appears to be the standard of the
8 Q Isn't it true, though, that they are not a
9 American Standards Association.
9 public health concern?
10 Q If I could refer you to PL 1257. I am
10 MR. SULLIVAN: objection. If you know.
11 specifically interested in the section where it states
11 A I do not know them. I know them as a
' the members and alternates of the subcommittee which
12 chemical company.
developed the standard are as follows, and then they
13 MR. SULLIVAN: You mean a governmental
14 list some names.
14 public health?
15 A Okay.
15 MR. RICHARDSON: Right.
16 Q All right. The Union Carbide and Carbon
16 BY MR. RICHARDSON:
17 Corporation, was that a member of the L.I.A. at this
17 Q Mr. Bowditch is there, as you see,
18 time?
18 representing the L.I.A. on this committee, the left
19 A Not that I know.
19 column, second name.
20 Q Okay. Do you know for sure or you just
20 MR. SULLIVAN: His name on this copy is
21 don't know one way or the other?
21 very -- it is all just a black line.
Page 216
Page 217
1 Q Let me see your copy.
1 Q Was the DuPont Company a member of the
2 Looks pretty clear to me, but -
2 L.I.A. at this time?
3 MR. SULLIVAN: well, we have a difference of
3 A Not to my knowledge.
4 opinion. Maybe we are a little older than you are, so
4 Q The top on the next column is the National
5 our eyes are giving -
5 Lead Company.
6 Q I will represent to you, sir, that that is
6 Was that company a member of the L.I.A. at
7 Manfred Bowditch of the L.I.A. there. Below his name
7 this time?
8 is an R.J. Eckart of the Sapolin Paint, Inc.
8 A I believe they were.
9 To your knowledge, was that company a member
9 Q The Devoe and Reynolds Company, was that a
10 of the L.I.A at this time?
10 member of the L.I.A. at this time?
11 A To my knowledge, they were not.
11 A I do not know.
12 Q Were they a member of the National Paint,
12 Q The Sherwin-Williams Company, was that a
13 Varnish and Lacquers Association?
13 member of the L.I.A. at this time?
14 A I have no idea.
14 A Under the alternates?
15 Q The next name under that is J.H. Foulger,
15 Q Yes.
16 F-o-u-l-g-e-r, of the DuPont de Nemours Company.
16 MR. SULLIVAN: In 1955?
17
At that time was the DuPont Company a member
17
MR. RICHARDSON: Yes.
18 of the L.I.A.?
18 A No, they were not.
A I do not know.
19 Q Were they involved with the paint -- well,
MR. SULLIVAN: objection. We are taking
20 let me just say the paint business at this time -
21 your word for this spelling because we can't tell.
21 MR. SULLIVAN: if you know. Objection.
Page 212 - Page 217
Evans Reporting Service
Multi-PageTM
Page 218
Page 219
1 A I do not know.
1 Did I read that correctly, sir?
2 Q The Glidden Company, were they a member of
2 A I believe you did.
3 the L.I.A. at this time?
3 Q From your knowledge and experience and from
4 A I do not know.
4 reviewing the documents, is it your understanding that
5 Q And the Benjamin Franklin Paint and Varnish
5 when someone was to paint a surface that they would
6 Company, were they a member of the L.I.A. at this
6 use more than one coat to do that?
7 time?
7 MR. SULLIVAN: Objection. What type of
8 A I don't think so.
8 surface?
9 MR. SULUVAN: Keep your voice up.
9 Are we talking --
10 THE WITNESS: Okay.
10 MR. RICHARDSON: A wood surface.
11 Q The next page under specifications, and I
11 MR. SULLIVAN: In a house?
12 will read it if your copy is not legible.
12 MR. RICHARDSON: interior or exterior,
13 A liquid, coating material to be deemed
13 doesn't matter, residential.
14 suitable from a health standpoint for use on articles
14 MR-SULLIVAN: House, park bench?
15 such as furniture, toys, et cetera, or for interior
15 MR-RICHARDSON: Residential.
16 use in dwelling units where it might be chewed by
16 A I still couldn't tell you.
17 children shall not contain lead compounds of which the
17 Q You don't know one way or other? - :
18 lead content calculated as the elemental symbol for
18 A No.
19 lead, p b, is in excess of 1 percent of the total
19 Q Have you ever painted in your house, sir?
20 weight of the contained solids, and it has a
20 A Of course, I have.
21 parentheses, including pigments and dryer.
21 Q Have you used more than one coat to do
Page 220
Page 221
1 that?
1 records of the L.I.A. and its activities.
2 A On some occasions.
2 MR. RICHARDSON: He is here to talk on
3 Q You have?
3 behalf of the L.I.A., period.
4 A Uh-huh.
4 MR. SULUVAN: No, he is not here as an
5 Q That is a yes?
5 expert on paint matters.
6 A That is a yes.
6 MR. RICHARDSON: I said on behalf of the
7 Q And if each coating contained 1 percent,
7 L.I.A., not as an expert.
8 isn't it true, sir, that by applying multiple
8 MR. s k al l e r u d : Beyond the scope of the
9 coatings, you would increase the amount of lead that
9 deposition notice.
10 is contained in that paint?
10 MR. CURTIS: Most fundamentally, it is
u MR. SULLIVAN: Objection.
11 absurd, but --
12 MR. GRIMM: 100 coats, you have 100 percent
12 (Whereupon, discussion off the record.)
13 lead?
13 BY MR. RICHARDSON:
14 MR. RICHARDSON: NO.
14 Q As of 1955, Mr. Smith, isn't it true that
15 BY MR. RICHARDSON:
15 the L.I.A. was aware that the American Standards
16 Q But you have more than what the lead is from
16 Association was a regulatory body that would be relied
17 the first coating; is that true?
17 upon by state and local governments for the purpose of
18 MR. s u l l iv a n : Objection, objection. You
18 setting standards with respect to the use of
19 are calling for speculation. He is not here as a
19 products?
20 technical person.
20 MR. SULLIVAN: objection. Are you-my
21 He is here to tell you about the historical
21 objection is you are choosing that segment of society
Page 222
Page 223
1 versus just governments versus everybody else that he
1 Q I will try one more time.
2 relies on?
2 A Okay.
3 MR. RICHARDSON: That is what I did. Do you
3 Q From your review of the documents, and that
4 have a problem with that?
4 means the L.I.A. documents, the defendant's documents,
5 MR. SULLIVAN: Yeah.
5 the plaintiff's documents, were you able to determine
6 BY MR. RICHARDSON:
6 whether the L.I.A. knew as of 1955 that the American
7 Q You can answer the question, please.
7 Standard Association would be relied upon by state and
8 MR. SULLIVAN: if you cananswer.
8 local governments?
9 A I can't answer the question. You will have
9 Are you with me so far, sir?
10 to rephrase it.
10 MR. SULLIVAN: Objection. Is that a
11 Q Sure. Did the L.I.A. know that the American
11 question?
12 Standards Association was a regulatory body that most 12 MR. RICHARDSON: Yes.
13 state and local governments would rely upon for
13 MR. SULLIVAN: objection.
14 purposes of setting standards promulgated by the ASA?
14 BY MR. RICHARDSON:
15 MR. SULLIVAN: Objection. Calls for a
15 Q Are you following my question so far?
16 conclusion as to what is in the minds of a third
16 A So far.
17 party.
17 MR. SULUVAN: Objection. I think it calls
18 Q It also calls for any conclusions you may
18 for him to speculate.
19 have reached from your review of the documents.
19 Q You are going to confuse me. Let me start
20 A It is still a question and I don't
20 all over again.
21 understand it.
21 Did the L.I.A. know -- and if you don't
Evans Reporting Service
Page 218 - Page 223
Multi-PageTM
Page 224
Page 225
1 know, that is fine, I don't want you to speculate, but
1 L.I.A. to the members of the L.I.A. dated April 12th,
2 if you know from your review of the documents, I would
2 1955, the first page of which is Bates stamped L.I.A.
3 like to know that.
3 22880.
4 Did the L.I.A. know as of 1955 that this
4 My question to you, sir, is this a document
association, the American Standard Association, would
5 that the L.I.A. produced in this litigation?
, be relied upon by state and local governments with
6 (Whereupon, document tendered to witness.)
7 respect to any standards that it promulgated?
7 MR. SULLIVAN: Answer.
8 MR. SULLIVAN: Objection. Again, it calls
8 A Yes.
9 for him to draw a conclusion as to what is in the mind
9 Q Okay. Have you seen this document before?
to of a third party.
10 A Let me take a quick look.
It Q You can answer.
11 (Whereupon, pause.)
12 A I really wouldn't know what the --
12 BY MR. RICHARDSON:
13 Q Okay.
13 Q Have you ever seen it before?
14 MR. SULLIVAN: Don't speculate.
14 A Yes.
15 MR. RICHARDSON: Please.
15 Q Okay. Atpage L.I.A. 22887, you are already
16 (Whereupon, Smith Deposition Exhibit Number
16 there?
17 33 was marked for identification.)
17 A Yes.
18 BY MR. RICHARDSON:
18 Q Under childhood lead poison, it states as
19 Q Mr. Smith, I am now showing you what has
19 follows:
20 been marked as Deposition Exhibit Number 33.
20 This problem has been a major "headache" and
21 It is a report of the Secretary of the
21 source of considerable adverse publicity.
Page 226
Page 227
1 Mr. Bowditch served as Secretary to the
1 would have been higher lead level, so this wouldn't
2 American Standard Association's subcommittee on
2 take care of those.
3 hazards to children from residual surface coating
3 Q Okay. And was it the L.I.A.'s position at
4 materials of the committee to minimize home hazards to
4 this time that it was unnecessary to place warnings on
5 children.
5 paints for future?
6 A standard was developed and adopted by ASA
6 A No, it was not.
7 for toxic ingredients of paints for surfaces which may
7 Q Okay. So that they at least felt that some
8 be chewed by children.
8 type of warning was necessary?
9 The basic part of the standard has been
9 A L.I.A. supported that.
10 accepted by New York City and Chicago health
10 MR. SULLIVAN: Objection.
11 authorities, a step towards uniformity among
11 Q They did that in the form of the ASA?
municipalities unalterably determined to attack this
12 A I am sorry?
., problem by the seemingly futile means of warning
13 Q Did they do that in the form of the ASA?
14 labels on paints.
14 A Well, the ASA and also in Baltimore there
15 My question to you, sir, are you able to
15 was a labeling requirement that was passed in -- what
16 say why the L.I.A. felt at this time that warning
16 was it, 1952 or '3.
17 labels on paints was futile?
17 Q There was one in Baltimore.
18 MR. SULLIVAN: Objection.
18 A There sure was.
19 A I believe the reference there would be to
19 Q There was also one in 1959.
20 the fact that this would apply to future applications
20 Were you aware of the L.I.A. lobby to repeal
21 and that there would still be paints on the walls that
21 that?
Page 228
Page 229
1 MR. SULLIVAN: Objection.
1 did, in fact, serve on that subcommittee; isn't that
2 Q Are you aware of mat, sir?
2 correct, sir?
3 MR. SULLIVAN: YOU are -
3 MR. CURTIS: Objection, calls for
4 MR. RICHARDSON: He can tell me --
4 speculation.
5 MR. SULLIVAN: No, what you have said is
5 A That is what this says.
6 that they have opposed it. You have established
6 Q Do you know whether or not the L.I.A.
7 nothing as a prerequisite.
7 attempted to gain the support of the City of New York
8 There is no foundation for that question and
8 and Chicago to the ASA standard?
9 you don't have to answer it.
9 A Well, what this says is that the basic part
10 MR. RICHARDSON: Are you instructing him not
10 of the standard had been accepted by New York City and
11 to answer?
11 Chicago health authorities.
12 MR. SULLIVAN: Yes. If you present a
12 Q I understand.
13 foundation for that question --
13 Did the L.I.A. play any role in that
14 MR. RICHARDSON: I will certify that
14 acceptance?
15 question.
15 MR. s u l u v a n : objection. If you know.
16 BY MR. RICHARDSON:
16 Q If you know.
17 Q Do you know why, again, they chose to put
17 A Yes, there were New York representatives on
18 the word headache in quotes, sir?
18 the ASA committee.
MR. SULLIVAN: objection.
19 Q I understand that, sir, but that is not my
t A I do not.
20 question, with all due respect.
21 Q This appears to confirm that Mr. Bowditch
21 A Okay.
' 'age 224 - Page 229
Evans Reporting Service
Multi-PageTM
Page 230
Page 231
1 Q Do you know whether or not the L.I.A. played
1 did you say this was?
2 any role in --
2 MR SULUVAN: This would be Number 34.
3 A I do not.
3 THE REPORTER: 34.
4 Q Okay. Thank you, sir.
4 A Okay.
s Isn't it true, sir, that by 1955 the L.I.A.
5 MR. SULLIVAN: is that the document we
6 was concerned that there was a trend for the total
6 produced?
7 banning of lead in paint?
7 THE WITNESS: Yes.
8 MR. SULLIVAN: objection.
8 Q Is this a document that you have seen
9 A I am not aware of that.
9 before?
10 (Whereupon, Smith Deposition Exhibit Number
10 A Yes.
11 34 was marked for identification.)
11 Q At page L.I.A. 551, this document appears to
12 BY MR. RICHARDSON:
12 discuss efforts of the American Standards Association
13 Q Sir, I am now showing you what has been
13 to increase the allowable limits of lead in the
14 marked as Deposition Exhibit Number 34.
14 atmosphere, the third paragraph from the bottom,
15 It is a copy of the Board of Directors
is MR. DAVID: object to the form of the
16 meeting minutes of the L.I.A. dated December 5th,
16 question.
17 1955, the first page of which is Bates stamped L.I.A.
17 Q Do you know if there were -- I am sorry,
18 547 and ask you whether or not this is a document that
18 have you read that?
19 the L.I.A. has produced in this litigation?
19 A I have read that paragraph.
20 (Whereupon, document tendered to witness.)
20 MR. SULLIVAN: I want to read the paragraphs
21 MR. CURTIS: I am sorry, what exhibit number
21 surrounding.
Page 232
Page 233
1 MR. RICHARDSON: My question has nothing to
1 A I do not know.
2 do with the rest of the document, but --
2 MR. SULLIVAN: if you understand it. Make
3 MR. SULUVAN: I know, but maybe the answer
3 sure you understand the question.
4 will.
4 Q I am not quite sure if I asked you this
5 MR. RICHARDSON: Maybe.
5 question, but I apologize if I had.
6 (Whereupon, pause.)
6 Isn't it true, sir, that the information
7 BY MR. RICHARDSON:
7 relied upon by the ASA to set the standard concerning
8 Q Do you know whether or not the ASA ever
8 the 1 percent content of lead paints, isn't it true
9 promulgated a standard that did, in fact, increase the
9 that that standard -- that the information relied upon
to allowable limits of lead in the atmosphere?
10 by the ASA to develop that standard was furnished and
11 MR. SULLIVAN: Objection. The reason I am
11 provided to that organization by the paint industry?
12 saying objection is we haven't determined whether that 12 MR SULLIVAN: Objection.
13 is industrial atmosphere or the outside general air
13 A I don't think there is anything to indicate
14 standard, and I don't think that has been made clear
14 that. There were members, as we just said, from the
is by you.
15 New York City Health Department, from a number of
16 Q Do you know whether or not that was ever
16 different organizations, the New York State Department
17 done, sir?
17 of Health, so I don't know that it says that there
18 MR. SULLIVAN: Objection.
18 were any particular specialists that the standard and
19 A I do not.
19 the levels was relied upon.
20 MR. SULLIVAN: Vague and ambiguous.
20 Q So you don't know one way or the other or do
21 Q You do not know?
21 you know for a fact that it wasn't supplied by the
Page 234
Page 235
1 paint industry?
1 Q Have you seen this document before, sir?
2 MR. SULUVAN: You are talking only by the
2 A I believe I have.
3 paint industry?
3 Q On page 2 under number 16 it says talk on
4 MR RICHARDSON: That is right.
4 lead poisoning.
5 MR SULLIVAN: Objection to that.
5 On request, in the interest of accuracy, we
6 A I don't think the standards organization
6 virtually prepared a talk on lead poisoning that a New
7 worked that way. I know they don't now.
7 York doctor delivered before a group of pediatricians
8 Q Thank you.
8 in that city.
9 (Whereupon, Smith Deposition Exhibit Number
9 Do you see that, sir?
10 35 was marked for identification.)
10 A I see that.
11 BY MR. RICHARDSON:
u Q Why, if you know, why would a doctor come
12 Q Sir, I am now showing you what has been
12 to the L.I.A. to prepare a talk on lead poisoning that
13 marked as Deposition Exhibit Number 35.
13 he would be presenting to a group of other doctors?
14 It is a quarterly report of the Secretary
14 A You put your finger right on it. They would
15 dated April 2nd, 1956, the Secretary of the L.I.A.,
15 come to L.I.A. because people at L.I.A. had sponsored
16 die first page of which is Bates stamped L.I.A.
16 the most work on diagnosing lead poisoning.
17 22960.
17 They had paid over 20 years or more, 28
18 Is this a document that has been produced by
18 years, I guess, at that stage, or money to a number of
19 the L.I.A. in this litigation?
19 top flight researchers to, as I had said before, get
20 (Whereupon, document tendered to witness.)
20 the proper diagnosis of lead poisoning to allow people
21 A I believe it is.
21 to do the proper testing. Ana that is exactly what
Evans Reporting Service
Page 230 - Page 235
Multi-PageTM
Page 236
Page 237
1 this would lead to.
1 Q Sir, I am now showing you what has been
2 Q Were there any doctors on the staff of the
2 marked as Deposition Exhibit Number 36.
3 L.I.A.?
3 It is an annual report of the Secretary/
4 A No.
4 Treasurer of the L.I.A. to the members of the L.I.A.
' Q Were there any medical consultants that were
5 dated April 13th, 1956, the first page of which is
. on die staff of the L.I.A., on the staff of die
6 Bates stamped L.I.A. 22965 and ask you, sir, is this a
7 L.I.A.?
7 document that has been produced by the L.I.A. in this
8 MR. SULLIVAN: Objection.
8 litigation?
9 A No. It was also an industrial hygienist,
9 (Whereupon, document tendered to witness.)
to however.
10 A I believe it is.
n Q Is he a medical doctor, sir?
11 Q Have you seen this document before, sir?
12 A Well, you yourself said he had a degree from
12 A I will have to look at it and see.
13 Harvard.
13 (Whereupon, pause.)
14 Q Was he a medical doctor, sir?
14 A I don't believe I have seen it
15 A Not to my knowledge.
15 Q Okay.
16 Q Thank you.
16 A Okay.
17 A An industrial hygienist.
17 (Whereupon, pause.)
18 MR. RICHARDSON: Mark this, Bonnie.
18 BY MR. RICHARDSON:
19 (Whereupon, Smith Deposition Exhibit Number
19 Q Are you finished, sir?
20 36 was marked for identification.)
20 A Yes, sir.
21 BY MR. RICHARDSON:
21 Q Okay.
Page 238
Page 239
1 A I think I may have seen this before.
1 My question to you, sir, is why was it
2 Q Is this now a document that you believe you
2 anticipated that these figures would be adopted simply
3 have seen before?
3 because two members were on the subcommittee?
4 A Yes.
4 mr . SULLIVAN: objection. Again, relevancy
5 Q If I can refer you to page L.I.A. 22968,
5 on this one since that committee relates to the
6 number 8 on that page.
6 atmospheric lead standard which has nothing to do with
7 The document appears to state that the
7 this case.
8 circulation for the magazine lead has now increased to
8 A Would you repeat the question?
9 50,000.
9 Q Yes. Why was it anticipated simply because
10 Do you have any reason to disagree with
10 two members were on the subcommittee mat the
11 that?
11 standards would be adopted by the two principal
' A No, I do not.
12 committee, if you know?
Q As of 1955?
13 MR. SULLIVAN: Objection. I think that is
14 A No.
14 total speculation and, on your part, that one has
15 Q Okay. Then, on page L.I.A. 22972, at the
15 anything to do with the other, just because you have
16 top of the page it says, as two members of our
16 members on a committee, that somehow they will pass
17 subcommittee are a member and chairman of the
17 the standard.
18 Governmental Committee which promulgates such
18 Q Do you know, sir?
19 standards, uniformity in the figures adopted by the
19 A I do not know.
20 two principal committees looked to for guidance in
20 Q Thank you.
21 such matters is also to be anticipated.
21 Under uniform labeling, it states that a
Page 240
Page 241
1 series of warning labels applicable to lead compounds
1 children, thus allowing the inclusion of lead dryers
2 has been submitted to all states.
2 in such paints.
3 And my question is was -- were they
3 The poison wording was also modified.
4 submitted by the L.I.A., do you know?
4 My question to you, sir, is it, in fact,
5 A I don't know. It doesn't say.
5 true that the whole effort to have the a s a develop a
6 Q It doesn't say and I was wondering whether
6 standard with respect to the use of lead paints was
7 you knew. Okay.
7 the brainchild of the L.I.A.?
8 And these warning labels, if you know, did
8 MR. SULLIVAN: Oh, objection.
9 they contain the language of the American Standard
9 MR. CURTIS: Object to the form.
10 Association?
10 MR. SULLIVAN: Objection.
11 MR. SULLIVAN: if you have any idea.
11 A I don't know how you came by that. I think
12 A I do not have any idea.
12 that the American standard that was developed was
13 Q Okay. Under the New York City paint label
13 sponsored by the American Academy of Pediatrics, and I
14 section, immediately under that, it states that the
14 think they are the people that probably wanted to see
15 initial proposal of the New York City Health
15 this done more than anyone else.
16 Department to require a poison label on all paints
16 Q Do you know why they used the phrase "at our
17 containing any lead whatsoever was ultimately modified
17 insistence" then in this document, sir?
18 through the establishment, at our insistence, of a
18 A Well, this -- where is this thing? This,
> committee on the American Standards Association which
19 right here, New York City Health Department to require
. evolved a standard permitting up to 1 percent of lead
20 a poison label on all paints containing lead - I
21 in paints used on services which might be chewed by
21 would think --
Page 236 - Page 241
Evans Reporting Service
Multi-PageTM
Page 242
Page 243
1 MR. CURTIS: I object to the question.
1 MR. RICHARDSON: Absolutely. In fact, I "
2 Q You can answer, sir.
2 will get it for you.
3 A I would think that the fact that there had
3 (Whereupon, discussion off the record.)
4 been a standard developed which addressed the problem,
4
THE WITNESS: We were on the ASA, rignt?
5 there was no need to put a poison label on to single
5 THE YIDEOGRAPHER: we are back on the
6 out lead paints to put a poison label on them.
6 record. The time is approximately 3:15.
7 I think that was the unfairness of it and
7 (Whereupon, Smith Deposition Exhibit Number
8 that --
8 37 was marked for identification.)
9 Q So as I understand what you are telling me,
9 BY MR. RICHARDSON:
10 you do not read this --1 want to make sure I am
10 Q Sir, I am now showing you what has been
11 reading it correctly.
11 marked as Deposition Exhibit Number 37.
12 A Yes.
12 It is a report of the Health and Safety
13 Q You do not read this to mean that the Lead
13 Director, Manfred Bowditch of the L.I.A., which was
14 Industries Association, at their insistence,
14 presented at the 28th annual meeting of the L.I.A.
15 established a committee of the American Standards
15 April 24th-25th, 1956. And the first page of which is
16 Association which developed a standard for lead
16 Bates stamped L.I.A. 22991.
17 paint?
17 And my question to you, sir, is this a
18 MR. CURTIS: I object to the question.
18 document that was produced by the L.I.A. in this
19 MR. SULLIVAN: I object.
19 litigation?
20 A No, I do not.
20 (Whereupon, document tendered to witness.)
21 Can I get a little more water, please.
21 A Do you nave a 92?
Page 244
Page 245
1 Q I am also missing a 92.
1 A Let me take a gander at it.
2 MR. SULLIVAN: We are missing the second
2 (Whereupon, pause.)
3 page.
3 BY MR. RICHARDSON:
4 Q Is this a document that was produced, and I
4 Q All right, sir. I don't remember if I asked
5 believe it was produced in this fasnion?
5 you, but was this produced by the L.I.A.?
6 However, if you do locate a page 22992, if
6 A Yes.
7 you could send me a copy.
7 Q Haveyou seenthis before?
8 MR. SULLIVAN: The pages as set forth in
8 A Yes.
9 this exhibit appear to run numerically, page 1, 2 and
9 Q On thefirst page under the category
10 3.
10 industrial lead poisoning, it states that Mr. Bowditch
11 MR. RICHARDSON: It does.
11 at least as of 1956 recognized that lead poisoning as
12 MR. SULLIVAN: Even though the L.I.A. Bates
12 a disease dates back to antiquity.
13 numbers don't seem to run consecutively, but just for
13 Isn't that correct, sir?
14 clarity for the record.
14 MR. SULUVAN: objection. The document
15 MR. RICHARDSON: if you are able to
15 speaks for itself.
16 determine that such a page of 92 does exist, I would
16 A That is what it says.
17 appreciate a copy.
17 Q Also on the second page, sir, under the
18 BY MR. RICHARDSON:
18 category uniform labeling in the middle of the
19 Q Is this something that the L.I.A. produced?
19 paragraph it states modification of the New York City
20 A I believe it is, yes.
20 lead pamt labeling regulation was secured by means of
21 Q Have you seen this before?
21 American Standards Z66.1 prepared by a committee of
Page 246
Page 247
1 the American Standards Association sponsored by the
1 help secure the modification of New York City lead
2 Lead Industries Association.
2 paint labeling regulation and my question to you is
3 My question to you, sir, is, doesn't this,
3 doesn't that -- isn't that what is reflected in this
4 in fact, answer my earlier question to you as to
4 document?
5 whether or not the American Standards Association
5 MR. CURTIS: I object to the question.
6 standard Z66.1 was used to secure the modification of
6 MR. SULUVAN: Objection.
7 the New York City lead paint labeling regulation?
7 Mischaracterization --
8 MR. CURTIS: I object to the form of the
8 BY MR. RICHARDSON:
9 question.
9 Q You can answer.
10 MR. SULLIVAN: objection. It calls for
10 MR. SULLIVAN: -- of the document.
11 speculation and a compound question.
11 A I don't think it does show that.
12 BY MR. RICHARDSON:
12 Q Modification of the New York City lead paint
13 Q You can answer, sir.
13 labeling regulation was secured by means of American
14 A I have no idea. All I know is that the
14 Standards Z66.1.
is American Standards Association Z66.1 was a very good
15
What does that mean to you, sir?
16 standard and one that the Lead Industries Association
16 MR. SULLIVAN: Objection. If you can even
17 worked hard to promulgate and get out to health
17 draw a conclusion from it. Or if you know, tell him.
18 authorities all around the country.
18 A Well, if you can rephrase it.
19 Q Oh I believe that, sir.
19 Q Well, modification of the New York City lead
20 And my question to you is that this document
20 paint labeling regulation was secured by means of
21 seems to indicate that that standard was also used to
21 American Standards Z66.1.
Evans Reporting Service
Page 242 - Page 247
Multi-PageTM
Page 248
Page 249
1 A It doesn't say who secured it.
1 sponsored by the Lead Industries Association.
2 Q I am not interested in who secured it.
2 Do you know what was meant by that
3 My only question to you, sir, is, isn't it
3 statement?
4 true that this document indicates that that standard
4 A I do not.
was used to secure the modification of the New York
5 MR. SULLIVAN: Object.
j City lead paint regulation?
6 Q Were you able to identify any indication
7 MR. CURTIS: I object to the form of the
7 from your review of the records as to how or if the
8 question.
8 L.I.A. did, in fact, sponsor that association?
9 MR. SULLIVAN: I object, and I think you are
9 MR. SULLIVAN: objection. You can answer if
10 characterizing. You are trying to take a couple of
10 you know how the L.I.A. was involved with this.
11 words and twist it around.
11 A I think the L.I.A. was a participant, and I
12 We are talking about a gentleman who wrote
12 believe the American Academy of Pediatrics sponsored
13 this, who is now dead, who wrote this back in 1950
13 the a n s i.
14 something and --
14 Q Isn't it also true, sir, between the L.I.A.
15 BY MR. RICHARDSON:
15 and the National Paint, Varnish and Lacquers
is Q Is that what is accurately reflected in the
16 Association they dominated and controlled the American
17 document?
17 Standards Association?
18 MR. SULLIVAN: You can read the words.
18 MR. SULLIVAN: objection. If you have
19 A I cannot draw an inference, no.
19 documents to show us, he is here as a --
20 Q Thank you, sir. It also says here that the
20 MR. RICHARDSON: I object to your speaking
21 committee or the American Standards Association was
21 objections, sir. You know the Maryland rules.
Page 250
Page 251
1 With respect to form, you are allowed to
1 speaking objections may help you rephrase the
2 object and to clarify the record so that a change can
2 question, so that it can be answered intelligently.
3 be made at die time of the deposition.
3 That one can't be.
4 All other objections are reserved until the
4 BY MR. RICHARDSON:
5 admission of the evidence so that you can then
5 Q Isn't it true, sir, and if you do not
6 specify ~
6 believe it true, say so, but isn't it true, sir, that
7 MR. SULLIVAN: Oh, absolutely not.
7 the L.I.A. and the National Paint, Varnish and Lacquer
8 MR. RICHARDSON: I think if you ask anybody
8 Associations together controlled the American
9 who is familiar with the Maryland rules, they will
9 Standards Association?
10 tell you for purposes of any other objections other
10 MR. CURTIS: Object to the form of the
11 than objection for form, you are not allowed to go
11 question.
into any detail as to the objection and the objections
12
MR. SULLIVAN: objection.
The whole
> are reserved for the point in time when the
13 American Standards Association?
14 admissibility of that testimony becomes an issue.
14 A That is absurd.
15 MR. SULLIVAN: Your firm, you in particular,
15 Q Okay.
16 and Mr. Samuel, have both said that all objections are
16 (Whereupon, Smith Deposition Exhibit Number
17 to be made now on the record and not reserved for the
17 38 was marked for identification.)
18 time of trial.
18 BY MR. RICHARDSON:
19 MR. RICHARDSON: Objections, but not
19 Q Sir, I am now showing you what has been
20 speaking objections.
20 marked as Deposition Exhibit Number 38.
21 MR. SULLIVAN: I am objecting and the
21 It is a quarterly report of the Secretary of
Page 252
Page 253
1 the L.I.A. dated April 1st, 1957. The first page of
1 developed at our insistence was shown by its use by
2 which is Bates stamped L.I.A. 21409.
2 the health commissioner of Baltimore in opposing a
3 I would first ask you, sir, is this a
3 Maryland bill which would have been materially
4 document that was produced by the L.I.A. in this
4 damaging to our interests.
5 litigation?
5 From your review of the documents in this
6 (Whereupon, document tendered to witness.)
6 case, sir, were you able to determine which Maryland
7 A I believe it was.
7 bill that was?
8 Q Have you seen this document before?
8 A I do not know.
9 A I would have to look at it first.
9 Q Okay. Do you know, again, why or what is
10 (Whereupon, pause.)
10 meant by the phrase "developed at our insistence"?
11 BY MR. RICHARDSON:
11 MR. SULLIVAN: objection. The document
12 Q Have you seen this before?
12 speaks for itself.
13 A Yes.
13 A I do not know.
14 Q On page L.I.A. 21410 under health and
14 Q All right. Did the L.I.A. have any
15 safety, number 9, it reads as follows:
15 involvement in the process of opposing the Maryland
16 Proposed legislation, inimical to the
16 bill in 1957?
17 interests of the lead industries has been followed and
17 And I am not just limiting it to the doctor,
'8 as of this writing with favorable results.
18 but are you aware from your review of the documents of
Gratifying evidence of the value of the
19 any participation by the L.I.A. and the opposition of
j American Standards specification to minimize hazards
20 this Maryland bill?
21 to children from residual surface coating materials
21 MR. Su l l iv a n : Objection.
Page 248 - Page 253
Evans Reporting Service
Multi-PageTM
Page 254
Page 255
1 Q In 1957?
1 MR. s u l u v a N: That is a nice addition.
2 A I am not aware that the L.I.A. had opposed
2 MR. RICHARDSON: But that is what the
3 any bill. It speaks for itself, again.
3 question was. He understood that question that way.
4 Q All right, sir.
4 There is no inference here of any --
5 MR. SULLIVAN: just to clarify the record,
5 BY MR. RICHARDSON:
6 the language that you read indicates here that the
6 Q I am not trying to mislead you in any way,
7 Health Commissioner of Baltimore opposed the Maryland
7 Mr. Smith.
8 bill.
8 MR. SULLIVAN: we will let the record speak
9 MR. RICHARDSON: I didn't contest what the
9 for itself on that.
10 document said. My question to him was --
10 MR. RICHARDSON: Oh, it shall.
11 MR. SULLIVAN: Right, but I think you are
11 (Whereupon, Smith Deposition Exhibit Number
12 trying to put it in the way -- the clear language is
12 39 was marked for identification.)
13 that the health commissioner opposed it and then you
13 BY MR RICHARDSON:
14 are trying to implicate by use of this language that
14 Q Sir, I have now given you what has been
15 L.I.A. opposed it just because it is in the L.LA.
15 marked as Deposition Exhibit Number 39.
16 minutes and it is simply a mischaracterization.
16 It appears to be a letter to the members of
17 MR. RICHARDSON: I simply asked the witness,
n the L.I.A. dated April 6th, 1957. The first page of
18 Mr. Sullivan, whether or not he was aware if the
18 which is Bates stamped L.LA. 10966 with an attached
19 L.I.A. was involved in any way in the opposition of
19 presentation entitled, A Review of Certain Health
20 this bill in addition to what the Commissioner was
20 Problems Associated with Lead by Dr. William E.
21 doing.
21 George, Chief Medical Officer, Consolidated Zinc
Page 256
Page 257
1 Proprietary Limited.
1 MR. SULLIVAN: I was going to --
2 The presentation was made at the 29th annual
2 MR RICHARDSON: I will refer to it. He
3 meeting of the L.LA. in Chicago, Illinois on April
3 says he has never seen it before. I wasn't going --
4 24th and 25th of 1957.
4 BY MR. RICHARDSON:
5 Is this a document that the L.I.A. has
5 Q I am not going to rely on the document since
6 produced in this litigation?
6 you have never seen it before, sir.
7 (Whereupon, document tendered to witness.)
7 My question is, from your review of the
8 A Yes, we have.
8 documents in this case --
9 Q Have you seen this before?
9 MR. SULUVAN: Just listen to the question.
10 A I am not sure. I will have to look at it
10 Q -- were you able to determine whether or not
11 now.
11 the L.LA. was aware in 1957 that exposure to minimal
12 (Whereupon, pause.)
12 amounts of lead would result in chronic degenerative
13 MR. SULLIVAN: Have you seen it?
13 diseases?
14 A I have not seen this before.
14 MR DAVID: object to the form of the
15 Q Okay. Were you aware, sir, that the L.I.A.
15 question, object to the fact that it is stated as a
16 knew as or 1957 that exposure to minimal quantities of
16 conclusion.
17 lead insufficient to produce clinical manifestation of
17 It is unproven.
18 lead poisoning would later develop chronic
18 MR. SULLIVAN: objection.
19 degenerative diseases?
19 BY MR RICHARDSON:
20 A Can you tell me -
20 Q You can answer the question.
21 MR. DAVID: I object to the -
21 Were you aware?
Page 258
Page 259
1 A Minimal doesn't --
1 talking? Just around this time period from 1928 on?
2 Q That is true, but were you aware of that
2 Q Any time period.
3 fact?
3 Did you see anything in the documents
4 MR. SULLIVAN: if you have knowledge from
4 without any limit to time period that discussed the
5 the documents or let the document speak for itself.
5 L.I.A.'s awareness that exposure to minimal amounts of
6 You can respond. If you have knowledge, if you
6 lead could cause chronic degenerative disease?
7 don't ~
7 MR. DAVID: Object to the form of the
8 A I am not sure that it is a fact.
8 question. You are stating it as a fact.
9 Q I am not saying it is a fact either, sir.
9 MR. SULLIVAN: Objection.
10 A I am sorry.
10 BY MR. RICHARDSON:
11 Q If the documents reflect in any way that the
11 Q Did you see anything, sir?
12 L.LA. was aware or even suspected that exposure to
12 MR. SULLIVAN: Just one other objection. I
13 minimal amounts of lead could cause chronic
13 believe that this paper was presented in connection
14 degenerative disease.
14 with -- yes, it was the American Industrial
15 MR. SULLIVAN: objection.
15 Physicians. He was presenting a paper to them,
16 MR. DAVID: I object. It assumes facts not
16 industrial physicians.
17 in evidence.
17 MR RICHARDSON: I think you will find as we
18 BY MR. RICHARDSON:
is go through this document it talks about childhood lead
19 Q Did you see anything in the documents to
19 poisoning as well, but since he hasn't seen the
20 discuss that, sir?
20 document, my question was general in nature and I will
21 MR. SULLIVAN: what time periodare you
21 rephrase it another time for you, sir.
Evans Reporting Service
Page 254 - Page 259
Multi-PageTM
Page 260
Page 261
1 A All right.
1 MR. DAVID: Same objection.
2 Q Did your review of the documents produced in
2 MR. SULLIVAN: objection.
3 this case reveal any indication that the L.I.A. was
3 BY MR. RICHARDSON:
4 aware, was put on notice that exposure to minimal
4 Q It is a yes or no answer, sir.
` amounts of lead could cause chronic degenerative
5 MR. SULUVAN: objection. No, it may not be
disease?
6 a yes or no answer.
7 MR. SULLIVAN: Objection,
7 A It is not.
g MR. DAVID: object to the form of the
8 Q Are you telling me you don't know? If you
9 question, assumes facts not in evidence, conclusion
9 don't know, that is a third answer.
to that is not in evidence.
10 A I don't know.
11 BY MR. RICHARDSON:
11 MR. DAVID: He already said he didn't
12 Q You can answer. Did you see any such
12 believe it to be a fact.
13 documents?
13 MR. RICHARDSON: I didn't ask him if it was
14 A It is still not clear to me what you are
14 a fact.
15 asking that I have seen.
15 MR. DAVID: You stated in your question if
16 Q Did you see any documents, any documents,
16 it was a fact.
17 that show that the L.I.A. was aware or suspected that
17 MR. RICHARDSON: I asked him if he saw any
18 exposure to minimal amounts of lead could cause
18 documents. I think you ought to listen to my
19 chronic degenerative disease?
19 question.
20 Did you see any such documents in your
20 MR. DAVID: You produced the document --
21 review?
21 MR. RICHARDSON: The document was produced
Page 262
Page 263
1 by L.I.A.
1 MR. RICHARDSON: I am not referring to that
2 MR. DAVID: You already went over it in the
2 document since he has never seen it before, as I have
3 deposition.
3 stated.
4 MR. RICHARDSON: Let me further that.
4 MR. SULUVAN: if you know of Dr. Henderson,
5 BY MR. RICHARDSON:
5 you can respond as to what you know about Dr.
6 Q Were you aware of any studies done by D.A.
6 Henderson.
7 Henderson on the subject of lead poisoning?
7 A I do not know Dr. Henderson.
8 A No.
8 Q All right. Were you -- were you aware of
9 Q Are you aware, sir, that he did studies on
9 any studies that were done in Queensland concerning
10 lead poisoning in children in Queensland?
10 exposure to lead in childhood mat resulted in renal
u MR. SULLIVAN: Objection. If you know.
11 failure and death as a result of renal failure later
Q Were you aware?
12 on?
MR. SULUVAN; You are talking about Dr.
13 MR. s u l l iv a n : objection.
14 William George?
14 MR. DAVID: object to the question. It
15 MR. RICHARDSON: I am talking about Dr.
15 assumes facts not in evidence.
16 Henderson.
16 It misstates the findings or whatever the
17 BY MR. RICHARDSON:
17 findings were of some study that was done in
18 Q Were you aware that he did studies in
18 Queensland.
19 Queensland concerning childhood lead poisoning, sir?
19 It is a deliberate attempt to mislead the
20 MR. SULUVAN: Is Dr. Henderson referred to
20 witness.
21 in there?
21 BY MR. RICHARDSON:
Page 264
Page 265
1 Q Were you aware, sir?
1 witness was nodding affirmatively.
2 MR. SULLIVAN: if you were aware of any
2 MR. RICHARDSON: He was.
3 Queensland studies.
3 MR. CURTIS: I don't believe he was.
4 A No-, I am not aware of any.
4 MR. RICHARDSON: Well, it is videotaped.
5 Q Thank you, sir.
5 BY MR. RICHARDSON:
6 I can finds the exhibit, if necessary, but
6 Q This was in 1944 or thereabouts with respect
7 one of the exhibits we have already talked about, sir, 8 discussed Mr. Wormser reading a study from
7 to his communications with Dr. Kehoe. 8 MR. KENNEALLY: It might be Exhibit 21,
9 Queensland.
9 counsel.
10 Do you remember that exhibit, sir?
10 MR. DAVID: 21 or 22.
11 A No, I don't.
11 BY MR. RICHARDSON:
12 Q Do you remember us talking about that
12 Q I will show you Exhibit Number 22 again,
13 earlier in the deposition though?
13 sir, in that last paragraph down there.
14 A I don't. There has been a lot of water over
14 MR. s u l l iv a n : Are you asking him if that
15 the dam here.
15 Queensland article is the one that refers to the kid
16 Q Well, you were nodding affirmatively when I
16 -- the children who may have died of renal failure?
17 was talking about it.
17 We all know it didn't.
18 MR. SULLIVAN: I think it may have been in
18 MR. RICHARDSON: It didn't? What didn't?
one of those.
19 MR. GRIMM: Let's just ask the question and
MR. CURTIS: Just for the record, I don't
20 go on.
21 think that is an accurate representation that the
21 MR. RICHARDSON: when you are finished, let
Page 260 - Page 265
Evans Reporting Service
Multi-PageTM
Page 266
Page 267
1 me take a look at it.
1 stated in the letter from your looking at it at
2 mr . SULLIVAN: This is Mr. Wormser's
2 present?
3 response to Mr. Kehoe, is that the one you are
3 MR. SULLIVAN: You may read the words.
4 referring to or are you referring to Kehoe's letter to
4 A It says, I recall out of 19 children alleged
5 Mr. Wormser?
5 to have lead poisoning, 12 did not show any shadow
6 mr . Ric h a r d s o n : I gave him the one I was
6 which is one of the reasons why the use of X-ray is
7 referring to, sir.
7 apparently not held in high regard among the
8 MR. WHITEHEAD: That is Exhibit Number 22?
8 Australian medical circles to detect lead poisoning in
9 MR. RICHARDSON: Yes.
9 children.
io (Whereupon, pause.)
10 Q That is right. The exhibit that I just
it MR. SULLIVAN: I think on 22 he indicated he
11 showed you with the presentation of Dr. George in it
12 hadn't seen that letter, too.
12 at page L.I.A. 10973, the second paragraph from the
13 BY MR. RICHARDSON:
13 bottom, seems also to discuss the bone lead content of
14 Q I am showing you Exhibit Number 22.
14 the 12 subjects.
15 It states at the bottom paragraph that out
15 Does it not, sir?
16 of 19 cases, 12 were shown not to snow any shadows;
16 MR- SULLIVAN: You indicated that you
17 isn't that correct, sir?
17 weren't going to be using this for verification.
18 MR. SULLIVAN: I object. 3This testified -
18 MR. RICHARDSON: I am just asking. Iam
19 Mr. Smith testified that he had not previously seen
19 trying to determine whether or not we are talking
20 this letter, so --
20 about the same study.
21 Q I am just asking you, sir, is that what is
21 MR. SULLIVAN: if you know what the content
Page 268
Page 269
1 of that study was --
1 A I don't know that L.I.A. was aware of that.
2 A No, I do not.
2 MR. SULLIVAN: Let him finish his
3 Q Okay. Do you see that language there in
3 objection.
4 that paragraph?
4 MR. DAVID: It is a misleading question.
5 A Here?
5 BY MR. RICHARDSON:
6 Q Yes.
6 Q Okay.
7 A Yes, I see it.
7 MR. SULLIVAN: Objection.
8 Q Okay. But you are not able to say that they
8 Q You can restate your answer, just so that
9 are talking about one in the same studies?
9 the record is clear.
10 A I am not.
10 A Well, I said I do not know L.I.A. would have
11 Q Now, this was before you arrived at the
11 been aware of that.
12 L.I.A.; is that correct, in 1957?
12 (Whereupon, Smith Deposition Exhibit Number
13 A Yes.
13 40 was marked for identification.)
14 Q Isn't it true, sir, that by 1957 that L.I.A.
14 BY MR. RICHARDSON:
15 was aware that childhood exposure to lead could result
15 Q Sir, I am now showing you what has been
16 in chronic kidney disease?
16 marked as Deposition Exhibit Number 40.
17 MR. DAVID: Objection to the form of the
17 It is the quarterly report of the Secretary
18 question.
18 of L.I.A. dated October 1st, 1957. The first page of
19 MR. SULLIVAN: objection.
19 which is Bates stamped L.I.A. 21478.
20 MR. DAVID: Calls for speculation on the
20 Is this a document that was produced in this
21 part of this witness and states a --
21 litigation by the L.I.A.?
Page 270
Page 271
1 (Whereupon, document tendered to witness.)
1 warning labels on products allegedly hazardous would
2 A Yes, it is.
2 sweep the country?
3 Q And have you seen this document before?
3 MR. SULLIVAN: objection.
4 A 1 believe I have.
4 A No, this is a speculation, I think.
5 Q On page 2 under warning labels, it begins by
5 Q Do you believe that the author was
6 saying as had been predicted, a wave of legislation
6 speculating?
7 relative to requirement of warning labels on products
7 MR. SULLIVAN: Objection.
8 allegedly hazardous to health has been sweeping the
8 Q Is that a yes, sir? 1 am sorry, you can't
9 countTM.
9 nod.
10 Were you able to determine from your review
10 A Yes, I am sorry.
11 of the documents any support or any documentation to
11 Q It also states in that section, as a further
12 explain or how it was predicted by the L.I.A. that
12 move towards uniformity, a conference was held on
13 this would happen?
13 September 26th with representatives of the MCA with
14 MR. SULLIVAN: Objection. He should have
14 the purpose of bringing their labeling recommendations
15 the opportunity to read that section and that page.
15 into line with those of the American Standards
16 MR. RICHARDSON: That is fine,
16 Association.
n (Whereupon, pause.)
17 Do you see that, sir?
18 A Okay.
18 A I see it.
19 Q Were you able to determine from your review
19 Q Is the MCA referred to there the
20 of the documents on what basis it was predicted that
20 Manufacturing Chemists Association as referred to in
21 the wave of legislation concerning requirement of
21 one of the previous sentences?
Evans Reporting Service
Page 266 - Page 271
Multi-PageTM
Page 272
Page 273
1 A I believe it would be, yes.
1 A Yes.
2 Q Okay. And do you know whether or not the
2 Q Has the L.I.A. produced this document in
3 L.I.A. attended that conference?
3 this litigation?
4 A I do not.
4 A Yes.
MR. RICHARDSON: Do you want to take a short
5 Q Have you seen this document before, sir?
break?
6 A Let me review it briefly.
7 MR. SULLIVAN: Yes, he would like a break.
7 (Whereupon, pause.)
8 MR. RICHARDSON: That is fine.
8 A Yes.
9 (Whereupon, a brief recess was taken.)
9 Q Have you seen it before, sir?
10 THE VIDEOGRAPHER: We are back on the
10 A Yes, I have.
11 record. The time is approximately 4:07.
11 Q Page 2 under childhood lead poisoning, do
12 (Whereupon, Smith Deposition Exhibit Number
12 you see mat section, sir?
13 41 was marked for identification.)
13 A I do.
14 BY MR. RICHARDSON:
14 Q Have you read that already or do you need a
15 Q Sir, I am now showing you what has been
15 moment to look at that?
16 marked as Deposition Exhibit Number 41. It is another
16 A No, I have read it.
17 quarterly report of the Secretary of the L.I.A. dated
17 . Q Okay. This document seems to suggest that
18 April 2nd, 1958.
18 the problem of lead poisoning in small children is
19 The first page of which is Bates stamped
19 mainly confined to the sluAs of our older cities.
20 L.I.A. 22233; is that correct, sir?
20 My question to you, sir, is, from your
21 (Whereupon, document tendered to witness.)
21 review of the documents, were you able to determine
Page 274
Page 275
1 whether or not that was, in fact, true?
1 researchers in Baltimore and several other cities,
2 MR. SULLIVAN: Objection.
2 Cincinnati, Boston, and I believe Dr. Chisolm right
3 MR. GRIMM: objection.
3 here in Baltimore was doing work on this and L.I.A.
4 A I made no effort to determine whether that
4 was doing its best to try to -- as it says here, it is
5 was true or not.
5 a continuing study and a preventive effort.
6 Q Okay. It says here that the correspondence
6 Q Sir, it says here that though these numbers
7 with the health authorities of four major cities have
7 may not seem large, it must be borne in mind that
8 brought in the following 1957 figures, and among which
8 every such case is a potential source of most damaging
9 is for Baltimore 55 cases, three deaths.
9 publicity, and that many of the surviving children may
10 Do you see that, sir?
10 be permanently mentally retarded.
11 A I do.
11 My question to you, sir, is, why does it
Q Was there any effort on the part of the
12 appear that the L.I.A. is more concerned with the
L.I.A. to determine how many of those 55 cases were,
13 damaging publicity from these cases as opposed to the
14 in fact, legitimate cases of childhood lead
14 injuries actually suffered by these children?
15 poisoning?
15 MR. DAVID: Object.
16 MR. d a v id : i object to the form of the
16 MR. SULLIVAN: objection. That is a
17 question. It is vague as to the term legitimate.
17 mischaracterization of that paragraph.
18 MR-SULLIVAN: Objection.
is It says they are trying to do studies and it
19 BY MR. RICHARDSON:
19 is a preventive effort and now you are
20 Q You can answer, sir.
20 mischaracterizing it and saying they don't care at the
21 A The fact is that, again, L.I.A. was funding
21 end.
Page 276
Page 277
1 That is absolutely wrong.
1 I think all along the Association was in the
2 Mischaracterization.
2 forefront of trying to solve this, trying to find out
3 A I would say definitely it was a
3 how best to handle these and prevent them.
4 mischaracterization. L.I.A. was very much concerned
4 Q And isn't one possible way of preventing it
5 and continued to be concerned throughout the years.
5 is to not use white lead in paint?
6 Q Do you agree, sir, that this document
6 MR. SULLIVAN: Objection.
7 suggests that the L.I.A. was aware as of 1958 that
7 Q Isn't that one possible way, sir?
8 many of the surviving children may be permanently
8 A No, I think that is a mischaracterization.
9 mentally retarded?
9 MR. SULLIVAN: objection. L.I.A. never made
10 MR DAVID: I object to that.
10 a product.
11 MR. SULLIVAN: Objection.
11 Q I am not asking you whether L.I.A. ever made
12 A This document does say something to that
12 a product despite what your counsel is suggesting.
13 effect, but this, again, and I don't even know who
13 My question to you, sir, is, isn't one way
14 wrote it.
14 to prevent childhood lead poisoning not to use lead in
15 Q The Secretary of the L.I.A., sir.
15 paint in the first place?
16 A All right.
16 MR. s u l u v a n : objection.
17 Q Who was Mr. Ziegfeld at that time?
n Q Regardless of this document?
18 A That is right, Robert Ziegfeld. But L.I.A.
18 MR. SULLIVAN: objection. Thatcalls for
' was concerned, and I think it even comes through on
19 speculation.
this that it was something that was very much of
20 A That is ~ that is your statement and --
21 concern and not just because of the money.
21 Q Do you agree with it?
Page 272 - Page 277
Evans Reporting Service
Multi-PageTM
Page 278
Page 279
1 A No, I cannot go along with that. I think
1 and 16th of 1958. The first page of which is Bates
2 that Lead Industries Association, first of all, as he
2 stamped L.I.A. 22241.
3 said, was not using this and secondly, there were
3 I ask you, sir, is this a document that was
4 many, many, many products that were out there very,
4 produced by the L.I.A. in this litigation?
5 very useful.
5 (Whereupon, document tendered to witness.)
6 Without them we would fail to have
6 A I believe it was.
7 automobile starters and on down the line. Thousands
7 Q Have you seen this document before?
8 of products.
8 A I would like to look at it first to
9 Q I understand. I am only talking about lead
9 determine that.
10 paint now, and my question - well, you have answered
10
(Whereupon, pause.)
11 my question.
11 (Whereupon, discussionoff therecord.)
12 (Whereupon, Smith Deposition Exhibit Number
12 THE VIDEOGRAPHER:We areback on the
13 42 was marked for identification.)
13 record. The time is 4:20.
14 BY MR. RICHARDSON:
14 BY MR. RICHARDSON:
15 Q Sir, I am showing you what has been marked
is Q So, have youseen this document before,
16 as Deposition Exhibit Number 42.
16 sir?
n It is a report of the Health and Safety
17 A Yes.
18 Division, Mr. Manfred Bowditch, Bowditch -- Bowditch,
is Q If I can referyou to the page Bates stamped
19 I'm sorry. Director of the Health and Safety Division,
19 L.I.A. 22243.
20 Lead Industries Association presented at the 30th
20 A Okay.
21 annual meeting of the L.I.A., St. Louis, April 15th
21 Q Do you know why Mr. Bowditch stated in his
Page 280
Page 281
1 report that there was no municipal health department
1 lifelong drain on the family, if it can bear the
2 more alive to the implications of lead poison in
2 expense or the mental strain or on the community.
3 children than that of the City of Baltimore?
3 Do you agree with that statement, sir?
4 MR. SULLIVAN: Objection. If you know.
4 MR. DAVID: I object. It calls for an
5 A I assume that he did that because we were
5 expert opinion on the part of this witness and he is
6 funding research here and had been for a long time and
6 not an expert obviously, medical expert.
7 had taken the results of that research and that
7 MR. SULLIVAN: I object.
8 information on lead poisoning to the Baltimore City
8 A I could not say that for sure.
9 Health Department and were working with them to try to
9 Q Okay. The last page of this document seems
10 get them to educate parents as to the hazards of lead
10 to state that since 1931 there have been 607 cases of
11 poison.
11 lead poisoning in Baltimore children.
12 Q Isn't it also true, sir, that the City of
12 From your review of the documents, have you
13 Baltimore was at the forefront with respect to lead
13 seen anything to contradict that statement, sir?
14 poison in addressing that issue?
14 MR. SULLIVAN: Objection. If you can answer
15 MR. SULLIVAN: Objection. You can answer.
15 one way or another.
16 A Someplace here it aid say that very point.
16 A I can't answer either way.
17 Q Do you agree with the statement as it is
17 Q You have not seen anything to contradict
18 stated in the last full paragraph of this page.
18 that?
19 Do you agree with the statement, for those
19 A No.
20 children who are lead poisoned, there may be permanent
20
MR. DAVID: He hasn't seen anything to
21 brain damage and paralysis and the child becomes a
21 confirm it either, I assume?
Page 282
Page 283
1 MR. SULLIVAN: I think he said either way.
1 (Whereupon, document tendered to witness.)
2 A Either to support it or refute it.
2 A Yes, it is.
3 MR. SULLIVAN: Keep your voice up. Mr.
3 Q Have you seen this before, sir?
4 Richardson has a good strong voice. We want your
4 A I have, and I couldn't read it then either.
5 voice to be a good strong voice.
5 Q Well, let me try
to help you.
6 (Whereupon, Smith Deposition Exhibit Number
6 Was Dr. Foulger at this time employed by the
7 43 was marked for identification.)
7 DuPont Company, if you know?
8 MR. RICHARDSON: can we go off for a
8 MR. SULLIVAN: objection.
9 second?
9 A I do not know.
10 (Whereupon, discussion off the record.)
10 MR. SULLIVAN: I will just note for the
11 THE VIDEOGRAPHER: We are back on the
11 record that our copy is so fuzzy, it is very, very ~
12 record. The time is 4:24.
12 it is almost impossible to read this, especially if
13 BY MR. RICHARDSON:
13 you get later into the document.
14 Q Sir, I am now showing you what has been
14 Q Well, if you turn to the next page, the
is marked as Deposition Exhibit Number 43.
15 second column, the first full paragraph, I will read
16 It is entitled, Precautionary Labeling of
16 it to you as follows and the defendants here at the
17 Lead Products by John H. Foulger, F-o-u-l-g-e-r, M.D.,
n table have another copy, so --
18 the first page of which is Bates stamped L.I.A.
18 MR. SULLIVAN: I will just make a comment
19 11085.
19 and that is Mr. Smith identified seeing this document
20 Is this a document, sir, that was produced
20 and he also indicated he couldn't read it earlier, so
21 by the L.I.A. in this litigation?
21 if you are going to ask a question, it is not a
Evans Reporting Service
..
Page 278 - Page 283
Multi-PageTM
Page 284
Page 285
1 document that he has analyzed --
1 able to confirm whether or not the information relied
2 MR. RICHARDSON: It is not that illegible.
2 upon by this subcommittee was, in fact, obtained from
3 lam able to read it on the record right now.
3 the paint industry?
4 MR. SULLIVAN: well, that is your
4 MR. SULLIVAN: if you -- objection, if you
' characterization of your copy.
5 have knowledge.
BY MR. RICHARDSON:
6 A I do not have knowledge.
7 Q Okay. That paragraph states, sir, there has
7 Q All right. The last page, sir --
s been a lot of dispute as to how it was founded.
8 MR. SULLIVAN: This is the worst page of all
9 Now, I was on the Z66 subcommittee of the
9 of the ones we have.
10 ASA which established it, and I was one of the group
10 Q Hie first column. Are you on the last
11 including Dr. Lanza and Dr. Cranch who finally set up
11 page?
12 this 1 percent level.
12 A Yes, 3070?
13 It was based on these considerations which
13 Q Yes. The first column, the first full
14 in turn came from information we obtained from the
14 paragraph begins with Dr. Foulger, but I am really
15 paint industry.
15 interested in the one below that.
16 Do you see that, sir?
16 It says, it is the duty of everybody who
17 A I do.
17 makes or sells or gives away a compound to know what
18 MR. SULLIVAN: We have been able to read -
18 it will do.
19 I can read certain words, most of those words, but not
19 Do you agree with that statement, sir?
20 all of them.
20 MR. SULLIVAN: Objection.
21 Q From your review of the documents, were you
21 MR. DAVID: Objection.
Page 286
BY MR. RICHARDSON:
1
Q You can answer. A I can make no judgment on that.
2
3
Q You do not have an opinion one way or the other?
4 5
A No.
6
(Whereupon, Smith Deposition Exhibit Number
7
44 was marked for identification.)
8
BY MR. RICHARDSON:
9
Q Sir, I am now showing you what has been
10
marked as Deposition Exhibit Number 44.
11
It is a quarterly report of a Secretary of
12
the L.I.A. dated January 14th, 1959. The first page
13
of which is Bates stamped L.I.A. 22349.
14
I ask if you have ever -- if that document
15
was produced by the L.I.A. in this litigation, sir?
16
(Whereupon, document tendered to witness.)
17
A Yes, it was.
18
Q Have you ever seen this before, sir?
19
A I will take a look at it first, please.
20
(Whereupon, pause.)
21
Page 287
BY MR. RICHARDSON:
Q Have you read it, sir? A Yes, yes. Q Sir, have you seen this before? A Yes. Q On page 2, sir, under number 8, you are at the point now where you know exactly where to go.
Under uniform labeling of lead paints it
states, in cooperation with the NPVLA, efforts have been underway during the quarter to persuade the health authorities of such municipalities of New York and Baltimore, each inclined to be a law unto itself,
to adopt uniform regulations relative to precautionary labeling of lead paints. Lacking such uniformity, a chaotic condition could develop.
My question to you, sir, my first question, do you know what efforts were, m fact, initiated to do this?
MR. SULLIVAN: Objection. Do you know?
A No, I do not know. Q And my second question is, do you know
Page 288
Page 289
whether or not they were successful in persuading,
1 Q Sir, I am now showing you what has been
specifically, the City of Baltimore to adopt uniform
2 marked as Deposition Exhibit Number 45.
regulations?
3 It is a letter from the Secretary of the
MR. SULLIVAN: Objection.
4 L.I.A. to the members of the L.I.A. dated April 1st,
Q If you know.
5 1960. The first page is Bates stamped L.I.A. 19433.
A I do not know for sure.
6 It has attached to it an article entitled,
Q All right. Are you aware that in 1958 or
7 Lead Dome Marks 25th Service-Free Year.
thereabouts the City of Baltimore enacted legislation
8 Do you see that, sir?
which cited, in part, the ASA standard Z66?
9 (Whereupon, document tendered to witness.)
A I am aware that they were interested in
10 . A I see the title, yes.
that, yes.
11 Q Was this document produced by the L.I.A. in
Q Do you know that they, in fact, did
12 this litigation?
promulgate an ordinance?
13 A Ibelieveitwas, yes.
A I believe they did, yes. I believe this
14 Q And have you seen this document before,
was -- this would nave been a follow-up to it.
15 sir?
Q All right.
16 A I don't recall it, but I may have.
A This was intended to bring --
17 MR. SULLIVAN: is there a particular part of
MR. RICHARDSON: Mark this.
18 it you would like him to look at it just for purposes
(Whereupon, Smith Deposition Exhibit Number
19 of seeing whether that part refreshes his recollection
45 was marked for identification.)
20 as to whether he has, in fact, seen it or not?
21 BY MR. RICHARDSON:
21 MR. RICHARDSON: Well, I am interested in
'age 284 - Page 289
Evans Reporting Service
Multi-PageTM
Page 290
Page 291
1 pages 3 and 4 of the report.
1 A It is also a magazine.
2 (Whereupon, pause.)
2 Q Okay. And was that a product of the L.I.A.
3 A Okay.
3 or some other organization?
4 Q Sir, on page 3 at the top it states that
4 A No, this is a product of a company. I don't
s they have developed two - developed a new advertising
5 know their name.
6 campaign in two leading design magazines, one of which
6 Q And it states here that the combined
7 is Materials and Design Engineering.
7 circulation was over 70,000 people.
8 Had you ever heard or that before?
8 Is that your understanding?
9 A Yes, I have.
9 A That is what this says.
to Q What was that?
10 Q Okay. And the ads that they put into these
u A It is a publication that goes to design
11 two magazines were designed to emphasize the varieties
12 engineers.
12 of lead's properties and the variety of jobs it is
13 Q Was that something that the L.I.A. put out
13 efficiently performing for the industry today.
14 or someone else?
14 My question to you, sir, is do you know
15 A No, it is a publication, it is a magazine.
15 whether or not that included the use of lead in
16 Q Who put it out?
16 paints?
17 A I believe -- don't know, sir.
17 MR. SULLIVAN: Objection.
18 Q Okay. And have you ever heard of Product
18 A I do not know.
19 Engineering?
19 MR. SULLIVAN: This is 1959?
20 A Yes, I have.
20 MR. RICHARDSON: Yes.
21 Q And what was that?
21 BY MR. RICHARDSON:
Page 292
Page 293
1 Q You do not know?
1 Do you know how or why -- strike that.
2 A I do not know.
2 From your review of the documents, were you
3 Q Okay. It also states here in the third
3 ever able to determine to what ways the problem of the
4 paragraph that, all in all, to 1959 through the
4 toxicity of lead was taking dollars out of the pockets
5 L.I.A.'s direct mail and space advertising of
5 of the members of the L.I.A.?
6 publicity, well over 3.5 million individual messages
6 MR.SULLIVAN: objection. Timeframe.
7 about lead were delivered to the industry.
7 Are you referring just in 1959?
8 Do you see that, sir?
8 MR. RICHARDSON: 1959.
9 A I do see it.
9 A I believe that the industry was concerned
10 Q Do you know whether any of those individual
10 about lead poisoning and that concern was also out in
u messages involved the use of lead in paint?
11 the public arena ana they certainly felt that it
12 MR. SULLIVAN: objection.
12 was -- it could hurt the business, the use of lead.
13 A I do not know.
13 Q In other words, it could hurt sales --
14 Q On the next page, sir, page 4, in the first
14 A It could.
15 paragraph it says in the middle of that, the toxicity
15 MR. SULLIVAN: objection.
16 of lead poses a problem that other nonferrous
16 Q -- and profits there from; is that correct,
17 industries generally do not have to face.
17 sir?
18 Lead poisoning or the threat of it hurts our
18 MR. CURTIS: objection to the question.
19 business in several ways. While it is difficult to
19 MR. SULLIVAN: objection.
20 count exactly in dollars and cents, it is taking money
20 A I don't know about that.
21 out of your pockets every day.
21 Q It goes on in the next paragraph to state in
Page 294
Page 295
1 the first place, it means thousands of items of
1 Q That it does.
2 unfavorable publicity each year.
2 It says secondly, it means that we are often
3 Do you see that, sir?
3 subjected to unnecessarily onerous regulations either
4 A I see it.
4 in the use of our product or in its labeling.
5 Q This is particularly true since most cases
5 This may mean either an added expense to
6 of lead poisoning today are in children, and anything
6 labeling or in control equipment to your or your
7 sad that happens to a child is meat for newspaper
7 customers' plants.
8 editors ana is gobbled up by the public.
8 It may even mean that your product won't be
9 It makes no difference that it is
9 used at all because your potential customer doesn't
10 essentially a problem of slums, a public welfare
10 want the problems that the use of lead may involve.
11 problem. Just the same, the publicity hits us where
11 With respect to that paragraph, sir, is
12 it hurts.
12 there any -- well, not just that paragraph. You have
13 And my question to you, sir, is from your
13 had a chance to read this entire section, sir.
14 review of the documents, are you able to determine
14 Is there any indication here that die L.I.A.
is what the Secretary of the L.I.A. was relying upon to
is is concerned about what effect lead poisoning has on
16 make the statements he has made in that paragraph?
16 children?
n MR. CURTIS; Object to the form of the
17 A Absolutely. The next paragraph. What are
18 question.
18 we going to do about all of this?
19 MR. SULLIVAN: Objection.
19 We are working closely with governmental
20 A I do not know. That was -- whatever you see
20 health authorities, childhood poisoning centers, the
21 here, it speaks for itself.
21 medical profession, and organizations like the
Evans Reporting Service
Page 290 - Page 295
Multi-PageTM
Page 296
Page 297
1 American Standards Association; Paint, Varnish and
1 of years ago.
2 Lacquer Association; Manufacturing Chemists
2 Why would they brag about taking -- about
3 Association to prevent an unfair ana onerous
3 increasing the amount of lead in the air when they are
4 regulations. ' They were doing everything they could to try
4 talking about childhood lead poisoning? 5 MR. SULLIVAN: objection. You haven't
to get information out and at the same time working
6 established the fact that that relates to the other
7 with organizations who themselves would get
7 material we have been talking about which was
8 information out on childhood lead poisoning.
8 industrial use and with different types of industrial
9 Q Doesn't, in fact, what you just read, sir,
9 applications.
to suggest that the L.I.A. states that what it is doing
10 A Clearly they were talking about industrial
11 about the money being taken out of their pockets and
11 applications.
12 the unfair publicity is that they are trying to
12 Q They were?
13 prevent the enactment of unfair and onerous
13 A lam sure of it.
14 regulations and not prevent childhood lead poisoning?
14 Q Do you understand why it was, in fact,
15 MR. SULLIVAN: Objection. That is a
is important that they put it in here?
16 mischaracterization, I think, of the entire document.
16 MR. SULLIVAN: Objection, if you know why
17 A No. 18 Q In fact, the next sentence goes on to say.
17 they put it in here, if you have actual knowledge. 18 A I do not.
19 In fact, we were largely responsible for the increase
19 Q Thank you.
20 of one-third in the maximum permissible concentration
20
(Whereupon, Smith Deposition Exhibit Number
21 of lead dust in fumes that became effective a couple
21 46 was marked for identification.)
Page 298
Page 299
1 BY MR. RICHARDSON:
1 BY MR. RICHARDSON:
2 Q Sir, I am showing you what has been marked
2 Q All right, sir, if I can -- well, have you
3 as Deposition Exhibit Number 46.
3 seen this document before?
4 It is another copy of a quarterly report of
4 A Yes.
5 the Secretary of the L.I.A. dated April 4th, 1960, the
5 Q On page 2, number 8, under Harvard lead
6 first page of which is Bates stamped L.I.A. 22586 and
6 toxicity study -- by the way, this appears to indicate
7 ask you whether or not this is a document that was
7 that, at least as of April 1960, the L.I.A. was still
8 produced by the L.I.A. in this litigation?
8 involved in funding research at Harvard; is that
9 (Whereupon, document tendered to witness.)
9 correct?
10 A Yes, I believe it is.
10 A I believe they were, yes.
11 Q And have you seen this document before,
11 Q Okay. It states there that theAmerican
* sir?
12 Standards Association holds long established
A I would like to look at it first.
13 leadership in the setting of allowable limits on
14 MR. RICHARDSON: l am sorry? Oh, I thought
14 substances which may be hazardous to health.
15 there was a question.
15 Do you know what documents exist which would
16 MR. WHITEFORD: I think they were just
16 support his statement that the ASA holds long
17 trying to get the number.
17 established leadership in the setting of allowable
18 Q I am specifically only interested in page 2,
18 limits on substances which may be hazardous to
19 but --
19 health?
20 A Okay.
20 MR. SULLIVAN: L.LA. documents?
21 (Whereupon, pause.)
21 Are you talking about documents throughout
Page 300
Page 301
1 the universe alone?
1 quite generally looked to by governmental agencies in
2 Q That you are aware that you have seen in
2 the promulgation of laws ana regulations.
3 connection with this litigation?
3 And let me just stop there and ask you, sir,
4 A Well, I have basically have seen only L.I.A.
4 that isn't it true that this document indicates that
5 documents.
5 it was understood by the L.I.A. in 1960 that
6 The documents that they are referring to are
6 governmental agencies looked to the ASA in the
7 American Standards documents such as the copy of the
7 promulgations of laws and regulations?
8 one you have there.
8 MR. SULLIVAN: object to the fonn of the
9 Q And --
9 question.
10 A They are promulgated by thestandards
10 A I think that is an overstatement in large
11 organization itself.
11 manner.
12 Q Okay. It says two committees of the ASA,
12 I believe that a s a would have been looked to
13 both of which have a leading part.
13 as would other standards organizations in a given
14 Do you know what he means by that?
14 particular field.
15 A I do not, but I know that L.I.A. was very
15 A government agency certainly might call on
16 much interested in seeing that these standards were
16 them to provide whatever information they have.
17 distributed widely and that they were utilized.
17 Q That was not stated in this document, was
18 Q Okay.
18 it, sir?
> A It was our method of attacking the problem
19 A It wasn't couched in that direction, but it
, that we have been talking about here.
20 is --
21 Q I agree, since these American Standards are
21 Q And, in fact, you were not employed by the
Jage 296 - Page 301
Evans Reporting Service
Multi-PageTM
Page 302
Page 303
1 L.I.A. as of April of I960, were you, sir?
1 the Harvard institution has been one that the L.I.A.
2 A No, I was not.
2 has been intimately involved in since its inception;
3 MR. SULLIVAN: Objection.
3 isn't that correct?
4 Q And it goes on to state that, after
4 MR. SULLIVAN: Inception of L.I.A.?
5 consideration of the potentialities of findings by
5 MR. RICHARDSON: Yes.
6 several scientific institutions, the Harvard School of
6 MR. DAVID: object to the form of the
7 Public Health has been invited to submit a proposal
7 question. Vague and indefinite as to what intimately
8 for research in this field over a three-year period.
8 involved in means.
9 My question to you, sir, is do you know
9 Q You can answer, sir.
to which other potential scientific institutions were
10 MR. SULLIVAN: I am going to object on the
11 considered besides the Harvard School of Public Health
11 same grounds.
12 before that decision was made?
12 A L.I.A. did deal with Dr. Aub from Harvard.
13 MR. SULLIVAN: Objection.
13 Q From its inception or shortly thereafter?
14 A I do not I don't --
14 A I believe so. Again, we were doing good
is Q Do you know why they chose the Harvard
15 work all the way along in asking Dr. Aub to help us,
16 School of Public Health to do this particular
16 again, determine things about childhood lead poisoning
17 research?
17 that were unknown.
18 A I don't, but I think it is a very
18 Q I move to strike since it is nonresponsive
19 prestigious organization. I am sure that there was
19 and there is no question pending.
20 some consideration of that.
20 MR. DAVID: I object to the motion. It is
21 Q And, in fact, it is the Harvard school --
21 totally responsive.
Page 304
Page 305
1 (Whereupon, Smith Deposition Exhibit Number
1 Q And have you seen this before?
2 47 was marked for identification.)
2 A I would look to look through it first.
3 BY MR. RICHARDSON:
3 Q Absolutely.
4 Q Sir, I am showing you what has been marked
4 (Whereupon, pause.)
5 as Deposition Exhibit Number 47.
5 (Whereupon, discussion off the record.)
6 It is a letter from the Secretary of the
6 THE VIDEOGRAPHER: we are back on the
7 L.I.A. to the Board of Directors and the industry
7 record. The time is 4:52.
8 development committee of the L.I.A.
8 (Whereupon, pause.)
9 It is attached -- it is dated March 16th,
9 MR. SULLIVAN: Do you want Mr. Smith to go
10 1960 and it is attached as Exhibit D to the Board of
10 through and read all of the parts of the proposal?
11 Director meeting minutes dated April 6th, 1960.
11 MR. RICHARDSON: No, I am going to deal only
12 For the record, the minutes are not
12 with the first two pages.
13 attached, but Exhibit D is what is reflected in this
13 BY MR. RICHARDSON:
14 document; is that correct?
14 Q Have you finished?
15 (Whereupon, document tendered to witness.)
15 A Yes.
16 a Yes, I think so.
16 Q Have you seen this before?
17 Q The first page of it is Bates stamped L.I.A.
17 A Just now.
is 682.
18 Q Okay. Other than just now, though, you have
19 Is this a document that was produced by the
19 never seen it before?
20 L.I.A. in this litigation?
20 a I don't remember seeing it.
21 A I believe it was.
21 Q Okay. Was the secretary in March of 1960
Page 306
Page 307
1 still Mr. Ziegfeld of the L.I.A.?
1 documents whether or not it was the L.I.A.'s belief
2 A Yes.
2 from the first time it began funding research at the
3 Q Okay. Do you know why he would state in the
3 Harvard School of Public Health whether or not it knew
4 first paragraph that the potential hazard of lead
4 that this institution was authoritative and would be
5 compounds due to their toxicity often hampers or even
5 accepted by governmental agencies?
6 completely precludes their sale for many uses and
6 A I don't really know that. I can't say
7 costs our industry probably several million dollars a
7 that.
8 year in additional markets.
8 Q If you don't know, you don't know, sir.
9 Do you know why he would say that?
9 MR. SULLIVAN: Are youdone with that
10 MR. SULLIVAN: Objection.
to document?
11 A No, I do not.
11 MR. RICHARDSON: Yes.
12 Q On page 2 - I am sorry, I understand that
12 (Whereupon, Smith DepositionExhibit Number
13 you haven't seen this document before, but it states
13 48 was marked for identification.)
14 that we also feel that the Harvard School of Public
14 BY MR. RICHARDSON:
15 Health is as well suited as any organization in die
15 Q I am now showing you what has been marked as
16 country to conduct this research and that its findings
16 Deposition Exhibit Number 48.
17 would be accepted as authoritative by industries and
17 It appears to be a copy of the American
18 governmental agencies.
18 Standard specifications to minimize hazards to
19 Do you see that, sir?
19 children from residual surface coating materials
20 a I do.
20 sponsored by the American Academy of Pediatrics,
21 Q Do you know from your review of the
21 approved April 29th, 1964, the first page of which is
Evans Reporting Service
Page 302 - Page 307
Bates stamped L.I.A. 25045. Is this a document that was produced by the
L.I.A. in this litigation? (Whereupon, document tendered to witness.)
A Yes, I believe it was. Q And have you seen this before?
A I have seen this before. Q Is this a revision of the earlier standard that we were discussing in 1955? A I believe it is, yes. Q In fact, up in the top right-hand comer of
the first page it states revision of Z66.1, 1955; isn't that correct?
A Yes. Q Okay. To what extent was it revised.
Do you know? A I would have to look at it -- Q Take your time.
A -- for a moment. (Whereupon, pause.)
A Okay. Could I have your question again.
Multi-Page1
Page 308
Page 309
1 please.
2 Q Sure.
3 Are you able to tell me to what extent the
4 standard in 1955 was revised in 1964?
5 A I believe there was some wording that was
6 changed, and I believe barium compounds were added to
7 the list of materials.
8 Q Under the category specifications on page
9 L.I.A. 25049, was there anything under number 1 that
to was changed?
11 Ana you have in front of you both of them, I
12 take it --
13 A Yes.
14 Q - the '55and the '64?
15 A The wording, film solids was added.
16 Q Okay. And the paragraph preceding the
17 subpart one, it refers to a term, dry film.
18 Do you see that?
19 A Under -- again, under 2, specifications?
20 Q Yes.
21 A I see the word dry film.
Page 310
Q What is that? A I believe this would mean the film after the
volatiles had -- Q Evaporated?
A -- evaporated. Q And if you turn to page L.I.A. 25047, it states that the ASA sectional committee Z66 which reviewed and approved the standard had the following personnel at the time of approval, and it lists an individual by the name of Don G. Fowler, F-o-w-l-e-r, on behalf of the L.I.A.
Do you know who that gentleman is? A Yes. He was an employee of L.I.A.
Q He was? A Yes. Q Do you know what position he held as of
1964? A I think he was Director of Environmental
Health. Q You had been working for the company for
approximately three or a little bit more years by this
Page 311 time, by 1964?
a No,,:I had been there about three years. Q Had you known him by that time or did you meet him later? A I did know Don Fowler. Q It also has an R.L. Ziegfeld as an alternate on behalf of L.I.A.
Is he the Secretary of L.I.A.? A That is correct. Q Or at least was at that time? A Was at that time, that is right. Q Was the L.I.A. a member of the National Paint, Varnish and Lacquers Association?
A No.
MR. SULLIVAN: just object to time frame.
You mean, at any point in history? Q At this time. A No, it was not. Q I see here that Mr. Eckart or Sapolin Paint represent the National Paint, Varnish and Lacquer Association in 1964.
Page 312
Page 313
Do you see that, sir?
t Q Okay.
A Yes, I see that.
2 MR. SULLIVAN: Are you asking him in his
Q And at this point in time, having had three
3 personal knowledge or corporate knowledge of L.I.A.?
years of employment at the L.I.A., did you know who he
4 Q Well, you are testifying on behalf of the
was?
5 company, but you testified that you would have been
A No, I did not.
6 working as of three years at this time.
Q You had not met him at this time?
7 A I was.
A No.
8 Q So I was just concerned as to whether or not
Q It also has a D.S. Ring on behalf of the
9 you ever knew this gentleman or that he served on this
National Paint, Varnish ana Lacquer Association.
I o committee at that time?
Had you met Mr. Ring by this time?
II A Mr. Eckart, no.
A No.
12 Q No, Mr. Fowler.
Q Okay.
13 A Oh, Mr. Fowler, I did know him.
Now, the next page, it says the Z66.1
14 Q Did you know that he was on this committee?
subcommittee which prepared the standard had the
15 A No, I did not.
following personnel, ana it lists as Chairman, Mr.
16 Q That is all I was asking.
Eckart and as Secretary, Mr. Fowler of the L.I.A.
17 As of 1964, was the Sherwin-Williams Company
Did you know as of 1964 that he served on
18 a member of the L.I.A.?
the a s a subcommittee?
19 A No, they were not.
A If I did, it would only have been in passing
20 Q Okay. Was the DuPont Company a member of
21 interest. I would not have paid any attention to it.
21 the L.I.A. in 1964, to your knowledge?
Page 308 - Page 313
Evans Reporting Service
Multi-PageTM
Page 314
Page 315
1 A I don't know.
1 A No, I did not.
2 Q And do you know if the National Lead Company
2 Q Did you know Mr. Nale, N-a-l-e, of the Union
3 was a member of the L.I.A. in 1964?
3 Carbide Corp?
4 A Yes, I believe they were.
4 A No.
s Q And having looked at these names, do you
5 Q Lutz is spelled L-u-t-z, by the way.
6 know any of these other gentlemen listed there, for
6 Did you know Mr. Sparre, S-p-a-r-r-e, of the
7 instance, Mr. Averill of the Hercules Powder Company?
7 DuPont Company in 1964?
8 A Are you on the first part of that or --
8 A No, I did not.
9 Q Yes, the first part, left column, Myron
9 Q Did you know Mr. Whitson, W-h-i-t-s-o-n, of
10 Averill.
10 the National Lead Company in 1964?
11 Did you know him?
u A I am not sure. I may have met him.
12 A No, I did not.
12 Q Okay.
13 Q Did you know Mr. Higgins of the Benjamin
13 (Whereupon, Smith Deposition Exhibit Number
14 Moore Company?
14 49 was marked for identification.)
15 A No, sir.
15 BY MR. RICHARDSON:
is Q Or Mr. Hoover of the Toy Manufacturers of
16 Q Sir, I am now showing you what has been
17 the USA?
17 marked as Deposition Exhibit Number 49.
18 A No.
18 This is a summary of a paper delivered by
19 Q Did you know him?
19 Dr. Byran Emmerson, B-y-r-a-n, E-m-m-e-r-s-o-n, of
20 A No, I did not.
20 Queensland, Australia, wnich was presented at the
21 Q Did you know Mr. Lutz of Pratt & Lambert?
21 conference on lead poison in children at the
Page 316
Page 317
1 Rockefeller University, May 25th, 1969, the first page
1 A No.
2 of which is Bates stamped NLI20907.
2 Q Were you aware, sir, that during the1920s
3 And my question, first of all, to you, sir,
3 and 1930s, mat European countries had prohibited the
4 is have you ever seen this before since it was not
4 use of white lead in residential paint --
5 produced by L.I.A.?
5 MR. SULLIVAN: objection.
6 (Whereupon, document tendered to witness.)
6 Q -- for interior use?
7 A Not to my knowledge.
7 MR. SULLIVAN: Objection. That is a
8 Q Do you know whether or not the L.I.A.
8 mischaracterization.
9 attended the conference on lead poisoning in children
9 Q Had you ever heard of anything like that,
10 at the Rockefeller University in May of 1969?
10 sir?
11 A I do not.
11 A No, I have not heard that.
12 Q Do you know whether or not they sponsored
12 Q Okay. Is there any difference between the
13 such a conference?
13 international zinc research organization and the
14 A I do not.
14 American Zinc Institute?
15 Q Had you ever heard of Dr, Emmerson?
15 Are they one in the same or two different
16 A No.
16 organizations?
17 (Whereupon, discussion off the record.)
17 A They were two different organizations.
18 BY MR. RICHARDSON:
18 Q Okay. I want to show you, sir, some
19 Q Were you aware that, as of 1969, Australia,
19 testimony of yours.
20 Queensland, Australia had completely eliminated the
20 We referred to this earlier, your testimony
21 use of lead in paint?
21 in the Santiago case dated October 19th, 1989, and I
Page 318
Page 319
1 would like to specifically refer you to pages 211 and
1 it here.
2 212 beginning around line 10 of 211.
2 I also object to the - to the way you are
3 And if you can read that to yourself first,
3 using -- I don't think there is any impeachment.
4 sir, over to line 23 of the next page, to the end of
4 BY MR. RICHARDSON:
5 the next page, I would appreciate it.
5 Q Have you finished?
6 (Whereupon, pause.)
6 A I have.
7 MR. RICHARDSON: I object to the counseling
7 Q Do you remember giving that deposition, back
8 of the witness as he reads this transcript.
8 in'89?
9 MR. SULLIVAN: what we are doing is -- it
9 A I do.
10 actually starts back further and there is differences.
10 Q Isn't it true, sir, that the application of
11 We pick up in the middle of the discussion and we are
11 a coat of lead paint results in a dry film after the
12 talking about interior and exterior issues and we have
12 other solubles on it has evaporated?
13 to distinguish between what is going on. We are
13 MR. SULLIVAN: objection.
14 trying to do that.
14 Q Isn't that true?
15 mr . s k a l l e r u d : There also needs to be a
15 MR. SULLIVAN: if you know.
16 foundation laid as to which there has been a complete
16 A I am not a paint chemist and I am not an
17 lack of foundation.
17 expert.
18 MR. RICHARDSON: It has already been stated
18 Q From your experience in working for the
19 earlier in the deposition.
19 L.I.A., isn't it true mat what is left is a dry film
20 MR. SKALLERUD: oh, I am aware of that and
20 as --
21 there was an objection stated then, and I am stating
21 A I believe that is true.
Evans Reporting Service
Page 314 - Page 319
Multi-PageTM
Page 320
Page 321
1 MR. SULLIVAN: Let him finish his question
1 A I see it here.
2 and then you can give the answer.
2 Q And do you remember what your answer was
3 Q Now, isn't it also true that if you have
3 then?
4 multiple applications of a coating of paint, even
4 A My answer was possibly, yes.
* though the percentage remains the same, you have an
5 Q Okay. And just so that we are clear, can
increase in the amount of lead that is on that
6 you read the question and the answer that you are now
7 surface, unless that surface is scraped or something
7 referring to?
8 to remove the previous coatings?
8 MR. SULLIVAN: well, that is part of the
9 But if that is not true, ifthe coatings
9 problem that we were having when you said I am
10 remain there, the dry film that accumulates from the
10 coaching him. I am not, because this question
11 multiple applications from different coatings
11 actually is -- comprises about four pages of testimony
12 increases the amount of lead there, albeit the
12 here trying to get the question even asked in a way
13 percentage staying the same; isn't that true, sir?
13 that he could respond to it. And it is in bits and
14 MR. SULLIVAN: objection. I am not sure --
14 pieces over that period of time.
15 objection. I can't understand the question.
is MR. RICHARDSON: Can I see the deposition?
16 Q You can answer, if you understand it.
16 MR SULLIVAN: That question was very
17 A That is a mathematical problem, I presume,
17 similar to what you were arguing about the paint. It
18 that I don't know. I couldn't give you an honest,
18 was an accumulating question over pages finally
19 clear answer.
19 materialized into something.
20 Q Do you remember being asked that question in
20 BY MR RICHARDSON:
21 this deposition?
21 Q I am going to read beginning on page 212
Page 322
Page 323
1 line 14 down to line 23, and just let me know if I am
1 MR RICHARDSON: Page 212. Question,
2 reading it correctly, sir.
2 answer, no objection in between. That is all I was
3 So that if there were very little lead in
3 referring to was the last question.
4 one coat, if you had an accumulation of coats, it
4 MR. SKALLERUD: For the record, start with
5 could present the same hazard. Your answer, that is
5 line 14, and there is an objection on line 17 and
6 correct, so do I understand the L.I.A. position that
6 another objection following the second question
7 lead which has accumulated like that on interior
7 beginning on line 24.
8 surfaces like you described to us can be a hazard to
8 BY MR RICHARDSON:
9 children if so ingested. We believe so.
9 Q Sir, are you aware or can you tell me
10 Did I read that correctly, sir?
10 whether or not the L.I.A. was named as a defendant in
11 MR. SKALLERUD: Objection.
11 this civil conspiracy suit filed by a paint
' MR. SULLIVAN: Objection.
12 manufacturer m or around 1950 alleging a conspiracy
Q Did I read that correctly, sir?
13 to control the sale or distribution of titanium
14 MR. SKALLERUD: For the record, you have
14 pigments?
15 left out the objections raised by counsel at that
15 MR SULLIVAN: objection.
16 deposition.
16 Q Do you know whether or not --
17 MR. RICHARDSON: I am reading a section that
17 MR. SULLIVAN: Objection as to the
18 didn't have anything -- there was no objection to that
18 characterization of it and let's see some foundation.
19 last question at the deposition.
19 A Have you got anything in documents --
20 MR. SKALLERUD: That is contrary to the copy
20 Q Do you have any independent knowledge of
21 I have.
21 that?
Page 324
Page 325
1 A -- to refresh my knowledge?
1 A I think it did, yes.
2 I don't know what you are talking about.
2 Q Do you know which ones?
3 MR. SULLIVAN: I object to the
3 A I do not.
4 characterization and --
4 Q Do you know whether or not they subscribed
5 MR. RICHARDSON: I asked him and he said he
5 to the New England Journal of Medicine?
6 doesn't know.
6 MR. SULLIVAN: Again, time frame, but if you
7 Q Did the L.I.A. belong to any other trade
7 can answer.
8 associations?
8 A From time to time I am aware that they did
9 MR SULLIVAN: Objection as to time frame.
9 receive the New England Journal of Medicine.
10 MR. RICHARDSON: 1928 to the 1970s.
10 Q In fact, you have testified to that effect,
11 A When you say any other --
11haven't you, sir?
12 Q Well, it itself was a trade association.
12 A I don't know.
13 Did it belong to any other trade
13 Q Did the members of the L.I.A. pay dues?
14 associations or organizations?
14 A Yes.
15 A I would not know that.
15 Q And do you know how the dues were determined
16 Q Did the L.I.A. subscribe to any medical
16 for a particular member?
17 journals, to your knowledge?
17 MR. SULLIVAN: objection as to time frame.
is MR. SULLIVAN: Again, just objection as to
18 A That would vary with the years.
' time frame. Are you talking '28 to 197 --
19 Q Between the 1928 and the mid 1970s, how was
Q Same time period, 1928 to the mid '70s,
20 dues determined?
21 sir.
21 MR. SULLIVAN: Objection, again.
Page 320 - Page 325
Evans Reporting Service
Multi-PageTM
Page 326
Page 327
1 a Again, it varied over the years.
1 whether or not you are aware that the National Lead --
2 Q Okay. In the beginning years, how was it
2 I am not trying to determine it, you already told me
3 determined?
3 you don't know that.
4 A Well, I don't have that right at hand. If
4 What I am trying to determine is whether or
5 you have a document that you can show me, I will look
5 not you would disagree with responses to discovery
6 at it.
6 requests from several defendants in which they
7 Q So you don't know off the top of your head,
7 indicate -- or through the form of letters in which
8 sir?
8 they indicate that they were members of the L.I.A. And
9 A No, I sure don't.
9 l am giving you specific years for each defendant, and
10 Q Okay.
10 I am asking you whether or not you have any knowledge
11 Sir, do you have any reason to disagree with
11 to disagree with that And the first one that I am
12 the statement that the national lead industries was a
12 giving you information about is national lead
13 member of the L.I.A. from 1928 to approximately 1982?
13 industries.
14 A I don't understand the question.
14 Do you have any reason to disagree that they
15 Q Have you seen anything in the documents that
15 were a member of the L.I.A. between 1928 and 1982?
16 you reviewed to indicate that the national lead
16 MR. SULLIVAN: objection. You have laid a
17 industries was not a member of the L.I.A. between 1928
17 lot of purported foundation in there. I think, if you
18 and 1982?
18 ask him about dates, he may have trouble giving them
19 MR. SULLIVAN: Objection.
19 to you, but if you are asking him if you have
20 A I still don't understand that question.
20 documents that show the dates, he can give you that.
21 Q What I am trying to determine, sir, is
21 Q I am interested in finding out if you have
Page 328
Page 329
1 any reason to believe this not to be true?
1 A I would disagree.
2 MR. SULLIVAN: You have to show us what they
2 Q You would disagree with that?
3 submitted to confirm --
3 A Yes.
4 MR. RICHARDSON: I am not asking about the
4 Q Okay. Do you disagree with the statement
5 documents.
5 that the St. Joseph Lead Company was a member of the
6 BY MR. RICHARDSON:
6 L.I.A. from 1928 and the present?
7 Q I am asking whether or not you are able to
7 MR. HIRSCH: objection.
8 say anything to disagree with that statement?
8 MR. s u l l iv a n : Objection. If you know the
9 MR. SULLIVAN: Well, I think he has to say
9 information, you can give it to him as to what the
10 disagree or agree. If he has knowledge one way or
10 membership of any of the purported defendants is.
11 another, he can do so. You are purporting these are
11 A St. Joe Lead was a member up until about
12 representations --
12 1985.
13 MR. RICHARDSON: Mr. Sullivan, please.
13 Q All right. But you do not know one way or
14 MR. SULLIVAN: if you have representations
14 the other after that date?
15 given by them, we can say if we agree or disagree.
15 A I know they weren't.
16 BY MR. RICHARDSON:
16 Q You know that for a fact?
17 Q Do you agree or do you have any reason to
17 A Yes.
18 disagree with the statement that the National Lead
18 Q Do you agree or disagree with the statement
19 Industries was a member of the L.I.A. from 1928 to
19 that the International Smelting and Refining Company
20 1982? Simple question.
20 was a member of the L.I.A. from 1929 to 1971?
21 MR. SULLIVAN: Say one way or another.
21 MR. SULLIVAN: if you can agree or
Page 330
Page 331
1 disagree.
1 MR. RICHARDSON: That is what I am asking.
2 A I would disagree.
2 MR. w h it e h e a d : I am going to object to the
3 Q Would you agree or disagree that the Glidden
3 question on Glidden for lack of foundation.
4 Company was a member of the L.I.A. between 1928 and
4
BY MR. RICHARDSON:
5 1960?
5 Q With respect to the defendant DuPont
6 MR. w h it e h e a d : Are you saying that is
6 Company, are you able to agree or disagree with the
7 continuously?
7 statement that they were a member of the L.I.A.
8 MR. RICHARDSON: I am sorry, yes.
8 between 1947 ana 1958 and, again, from 1963 to 1982?
9 MR. WHITEHEAD: Is it your assumption that
9 MR-HIRSCH: Objection.
10 is continuously?
io A I am not able to agree or disagree,
11 MR. RICHARDSON: That is right.
u Q Are you able to agree or disagree that the
12 MR. WHITEHEAD: You got that information
12 W.A. Fuller company was a member of the L.I.A. between
13 from -
13 1947 and 1957?
14 MR. SULLIVAN: Do you agree or disagree?
14 MR. SULLIVAN: Objection. W.P. Fuller is
15 A No.
15 not a defendant in the case.
16 MR. SULLIVAN: For ease, all of our records
16 Q You can still answer.
17 would have that information in it and we have produced
17
MR. SULLIVAN: If you know.
18 them to you.
18 A I do not know.
19 MR. RICHARDSON: They don't have them -
19 Q Do you know one way or the other whether or
20 MR. s u l l iv aN: We can only tell you what is
20 not the Sherwin-Williams Company was a member of the
21 in our records.
21 L.I.A. between 1928 and 1947?
Evans Reporting Service
Page 326 - Page 331
Multi-PageTM
Page 332
Page 333
1 MR. SULUVAN: Objection. If you have
1 MR. Ric h a r d s o n : I appreciate your
2 information, you can tell him.
2 suggesting how I should ask questions, but I refuse to
3 A Sherwin-Williams was a member.
3 do so.
4 Q During those years?
4 MR. SULLIVAN: it might help us get along.
A During those years, yes.
5 MR. RICHARDSON: It won't. Go ahead, sir.
, Q Isn't it true, sir, that the L.I.A. was
6 MR. DAVID: Nothing works.
7 aware of a Baltimore City ordinance in 1961 which
7 A I believe that mere was a lead paint
8 restrict the use of lead paint for interior use in
8 ordinance in Baltimore in 1951.
9 residential buildings?
9 Q Was there -- do you also know whether -
to MR. s u l l iv a n : Objection. If you have
10 MR. SULUVAN: Is mere more to me
11 knowledge, you can answer the question.
11 question?
12 A Would you state it again, please.
12 MR. RICHARDSON: To me question?
13 Q Was the L.I.A. aware of a Baltimore City
13 MR SULUVAN: More to me answer? Is that
14 ordinance in 1951 limiting the use of lead paint for
14 me end of your answer?
15 interior residential dwellings?
is A I believe the Lead Industries Association
16 MR. SULLIVAN: Objection. I think you
16 supported me development of this.
17 should show him the ordinance so he can determine
17 Q Do you have any proof of mat, sir?
18 whether your characterization is accurate.
18 A Well, again, in going through me documents
19 MR. RICHARDSON: I am not-
19 mat we have seen, I have seen reference to mat.
20 MR. SULLIVAN: You just want to ask him if
20 Q Can you cite me one document mat supports
21 he has the knowledge?
21 what you just said?
Page 334
Page 335
1 MR. SULLIVAN: if you happen to have a
1 for me purpose of participating in studies of me
2 specific memory, you can tell nim.
2 subject of childhood lead poisoning?
3 A I don't have a specific.
3 MR. s u l l iv a n : objection. Again, time
4 Q Are you aware, sir, in 1958 the City of
4 frame.
5 Baltimore enacted a Baltimore City ordinance which
5 MR. RICHARDSON: 1928 to me mid 1970s.
6 required a label on the use of residential paints
6 A I do not know mat.
7 where the lead content was 1 percent or more?
7 Q Okay. Do you know whether or not in me
8 MR. s u l l iv a n : Do you nave a specific
8 white lead promotional program conducted by me L.I.A.
9 knowledge?
9 whether at any time during mat program they promoted
10 I object and the objection is to the
10 their members' lead products as being nontoxic or
11 characterization of the act.
11 safe?
A I do not have specific information on that.
12 MR SULUVAN: Objection. If you have a
.. Q Okay.
13 specific memory.
14 Did the Lead Industries Association maintain
14 A I know of no such thing.
15 insurance coverage?
15 Q All right.
16 MR. s u l l iv a n : objection.
16 Do you know if me L.I.A. in any of its
17 A You would have to be more specific.
17 promotions of its members' lead products, including
18 Q Between 1928 and the mid 1970s.
18 their members' lead paint products, that they promoted
19 A I honestly don't know.
19 those products as being nontoxic or safe?
20 Q Do you know whether or not the Lead
20 MR. SULUVAN: Objection.
21 Industries Association worked with insurance companies
21
MR w h it e h e a d : I am going to object to me
Page 336
Page 337
1 question. It contains an assumption that is not in
1 poisoning between 1928 and me mid 1970s?
2 evidence.
2 A I have no way of knowing.
3 Q You can answer, sir.
3 MR. SULLIVAN: Objection.
4 A I don't know of any such promotion.
4 Do you mean, did they have research done for
5 Q Isn't it true, sir, that white lead carbon
5 mem or did they go to me library?
6 was first produced in the United States in the early
6 Q That is right.
7 1800s?
7 Did they ever go to me public library to
8 MR. SULUVAN: Objection.
8 determine what medical and scientific literature was
9 A I have no way of knowing.
9 available between me 1928 and 1970s?
10 Q Isn't it true, sir, that in 1943 the L.I.A.
10 MR. s u l l iv a n : if you ever know of anybody
11 assisted in a publication of a manual for painting
11 going to me library.
12 farm buildings and equipment which promoted me use of
12 A No way of knowing who did mat.
13 white lead paint for interior and exterior residential
13 Q Was there anyone assigned to the task of
14 surfaces?
14 monitoring me medical and scientific literature
15 MR. s u l l iv a n : objection. If you know.
15 available regarding childhood lead poisoning?
16 A I have read of mat, yes.
16 MR. SULLIVAN: 1928 to -
17 Q Did me L.I.A. ever make use of me public
17 Q In L.I.A. mid 1928 and the mid 1970s?
is libraries --
18 MR s u l l iv a n : objection. If you know, you
MR. SULLIVAN: objection.
19 can answer.
> Q - with respect to their research of the
20 A I don't know.
21 medical and scientific literature on childhood lead
21 Q Did the L.I.A. ever fund any efforts to
Page 332 - Page 337
Evans Reporting Service
Multi-Page TM
Page 338 1 remove the paint that was on the residential dwellings 2 in the inner cities? 3 MR. DAVID: I object to the question. It is 4 irrelevant. 5 MR. SULLIVAN: objection.
6 A I have no knowledge of that. 7 MR. RICHARDSON: just give me one moment. 8 (Whereupon, pause.)
9 BY MR. RICHARDSON: 10 Q Did there come a time, Mr. Smith, that the 11 L.I.A. believed that white lead should not be used in 12 paints for residential surfaces whether interior or
13 exterior? 14 MR. SULLIVAN: objection.
15 A I have no knowledge of that. 16 MR. RICHARDSON: Okay. 17 That is all of the questions that I have. 18 Anyone else have any questions? 19 MR. w h it e h e a d : I reserve my right to ask
20 questions of the witness. 21 MR. RICHARDSON: You want to keep the
Page 339 deposition open?
MR. w h it e h e a d : No, if I have more
questions, I will request the attendance of the witness.
MR. RICHARDSON: Anybody else?
MR. DAVID: well, I have a couple of hours,
but I think I will probably put them off until another day.
I am just kidding. No questions. MR. RICHARDSON: Thank you very much, sir, for coming down from New York. Will he read and sign or will he waive?
MR. SULLIVAN: No, we will read and sign. THE VIDEOGRAPHER: The deposition of Jerome Smith is concluded. The time is approximately 5:33. (Thereupon, at 5:33 p.m., the videotaped deposition was concluded.)
State of Mainland
Page 340
INDEX Deposition of Jerome P. Smith
City of Baltimore
March 26, 1996
I, Bonnie L. Gahagan, a Notary Public of the
EXAMINATION BY:
PAGE
State of Maryland, City of Baltimore, do hereby
Mr. Richardson
certify that the within-named witness personally
Smith
appeared before me at the time and place herein set
EXHIBITS
DESCRIPTION
PAGE
out, and after having been first duly sworn by me,
1 Notice of Videotape Deposition
according to law, was examined by counsel.
2 Constitution and By-laws, 11-14-28
I further certify that the examination was
3 Directors Meeting of 5-29-29
recorded stenographically by me and this transcript is
10 4
Directors Meeting of 9-11-29
a true record of the proceedings.
II 5
Directors Meeting of 10-1-30
I further certify that I am not of counsel
12 6
Directors Meeting of 9-30-31
to any of the parties, nor an employee of counsel, nor
13 7
1-3-32 letter from F. Wormser
related to any of the parties, nor in any way
14 8
9-28-32 letter to members of L.I.A.
interested in the outcome of the action.
IS 9
Directors Meeting of 9-28-32
As witness my hand and seal this 27th day of
16 10 Directors Meeting of 6-15-33
March, 1996.
17 11
Annual Meeting minutes of 6-13-35
Bonnie L. Gahagan
18 ,,12 ,, Board of Directors Meeting of 10-1 -35
19 13
^Secretary and Treasurers reports of
My Commission Expires 10-01-96
20 14
Board of Directors Meeting of 6*29*3?
21
Page 341
13 25 35 41 44 52 58 62 68 80 86 97
103 104
INDEX (CONTINUED)
Smith EXHIBITS
DESCRIPTION
PAGE
2*20*30 letter to Members of L.I.A.
112
Annual Meeting of members of 5-16*39 120
2* 15-40 letter to Mr. Wormser
137
Board of Directors Meeting of 1*7*41 141
1-19-44 letter to Dr. Kehoe
143
.3'7*44 letter from Dr. Kehoe to Mr. Wormser
147
7-25-44 letter to Dr. Kelioe
150
1-29*45 letter to Schaefer
152
Executive Committee Meeting of 12-28*45154
Executive Committee Meeting of 4*2*48 165
12-1-50 letter to members of L.I.A.
168
,L.IA. letter from Manfred Bowditch of
January 1952
186
4*9*52 letter to members of L.I.A.
190
Board of Directors Meeting of 4*10*53 195
3*27*53 letter to members of L.I.A.
200
4*12*54 letter to members of L.I.A.
207
American Standards Specifications approved 2-16*55
Page 342
INDEX (CONTINUED)
Smith EXHIBITS
DESCRIPTION
PAGE
33 Letter to members of LLA.
224
34 Board of Directors Meeting of 12-5-55 230
35 Quarterly Report dated 4-2*56
234
36 4-13*56 letter to members of L.LA. 236
37 Report of Health and Safety Division 243
38 Quarterly Report dated 4*1*57
251
39 8-6*57 letter to members of L.LA.
255
40 Quarterly Report dated 10*1*57
269
41 Quarterly Report dated 4*2*58
272
42 Report of Health and Safety Division 278
43 Precautionary Labeling of Lead Products282
44 Quarterly Report dated 1-14*59
286
45 4*1*60 letter to members of L.I.A.
288
46 Quarterly Report dated 4*4*60
297
47 3-16*60 letter to Board of Directors 304
48 American !|Uindards Specification
307
49 Conference on Lead Poisoning in Ciuldrcn
315
Page 343
Evans Reporting Service
Page 338 - Page 343
$10,000 [ij
100:6
$6,000 (1)
100:6
$62,500 [i] 158:9
'28 [3] 172:17 174:10
324:19
'29(1] 39:5
'3[i] 227:16
'39 m 122:13
'40s [ij 170:21
49(1] 173:2
'5[i] 134:1
*53[i] 190:3
'54(11 190:3
'55(2) 190:3 309:14
'6(i) 19:5
'60s [ij 96:13
*61 (2) 18:5 19:7
'64[i] 309:14
'65 [4] 18:5 19:8 19:10 19:11
*66(3] 18:6 19:5 19:11
'67(1) 19:15
'69(i] 19:4
70s pi 8:5 31:18 96:13 172:4 324:20
'76(3] 20:7 21:14 21:15
*79(2] 20:19 22:10
'80[i) 172:17
'80s[i] 172:5
'89(1] 319:8
'90s (ij 172:5
'91 m 18:5
'S(ll) 59:15 65:1 66:5 66:9 116:3 172:13 189:21 227:3
259:5 292:5 307:1
00034 [ij
46:2
02110[i]
2:6
0294(1)91:18
07[ij 272:11
09[i] 1:13
1 [16] 46:4
151:9 220:7
244:9 334:7
13:5 13:8
97:18 114:19 191:4 218:19
233:8 240:20 284:12 309:9
341:7
l-14-59m 343:14
l-19-44[i] 342:7
1-29-45(1] 342:11
l-3-32[i)
341:13
1-7-41 [11
342:6
10(71 31:10 80:11 81:4 145:1 195:21
318:2 341:16
10-01-96[ij 340:20
10-l-30[i] 341:11
10-l-35[i] 341:18
10-l-57m 343:10
1 00 [6] 2:6
84:4
84:14 85:12 220:12
220:12
10017 [l]
11:14
10022-4690 [i]
2:10
103 [2] 80:17 341:19
104 [2] 83:11 341:20
10784[i]
168:15
10786 [2]
176:8
168:20
10886 [2]
187:12
187:1
10890 [i]
188:17
1095 [i] 143:18
1096 [I] 145:8
10966 [l]
255:18
10973 [l]
267:12
1099 [l] 147:14
10th [ij 197:14
11 [5] 11:17 86:18
111:19 134:19 341:17
11-14-28 [ii 341:8
11085(1]
282:19
1109 [] 150:12
112 [l] 342:3
1120 [i] 3:12
1130 [ij 153:14
11590[ii
11:18
117[i] 3:6
llth[2] 41:10 45:10
12(10] 97:13 97:16
111:19 134:15 134:20 135:1 266:16 267:5 267:14 341:18
12-1-50(1] 342:14
12-28-45(1] 342:12
12-5-55(1] 343:4
120(1] 342:4
12270(1]
206:16
1254 [i] 214:1
1257 [l] 214:10
12th [2] 207:9 225:1
13(4] 103:11 210:11 341:7 341:19
137(1] 342:5
13th [2] 87:3 237:5
14(5] 104:15 104:18 322:1 323:5 341:20
141(1] 342:6
143(1] 342:7
1450 [i] 3:3
147(1] 342:9
14th [2] 26:21 286:13
15(5] 84:6 108:2 108:5 160:15 243:6
150(2] 175:4 342:10
152(1] 342:11
154(2] 97:19 342:12
157(3] 98:2 98:9 98:15
15th [31 80:16 137:9 278:21
Multi-Page TM
16(6} 112:16 112:19 122:13 213:19 235:3 342:3
165[i] 342:13 168(1] 342:14
16th [3] 120:18 279:1 304:9
17(8] 120:12 120:15 121:11 128:11 128:12 198:5 323:5 342:4
18(3] 137:4 137:7
342:5
1800s [i]
336:7
186(1] 342:15
189(1] 104:21
19 [S] 141:4 141:7
266:16 267:4 342:6
190(1] 342:16
1920(1] 96:1
1920s [2]
96:2
317:2
1922(1] 115:13
1928(27]
24:14
25:2 25:13 25:17
26:21 31:17 38:7
177:18 177:19 178:5
259:1 324:10 324:20
325:19 326:13 326:17
327:15 328:19 329:6
330:4 331:21 334:18
335:5 337:1 337:9
337:16 337:17
1929(1X1 37:9 39:12 41:10 41:14
42:3 42:8 329:20
35:20 40:7 41:18
74:8
1930 [4] 45:10 46:19 49:8 51:21
1930s [7]
48:8
48:17 74:19 75:6
103:4 204:4 317:3
1931[6]52:8 53:10 55:8 281:10
53:4 56:10
1932(7]58:19 62:13 63:4 63:21 69:1 74:5 76:3
1933[3J80:16 84:6 170:13
1934 [S] 11:20 27:1
134:1 134:5 134:5
1935 [8] 87:3 92:4
97:18 98:7 101:21 102:4 102:12 203:20
1936(3] 102:18 103:16 103:20
1937(1] 104:20
1938(5] 108:7 108:19 108:20 110:11 122:12
1939(71112:7 113:1 120:18 122:13 122:14 124:19 132:6
194[i] 105:8
1940(21 137:10 139:21
1941 [l] 141:9
1943 [l] 336:10
19433m
289:5
1944(6] 143:17 146:5
147:12 148:11 150:10
265:6
1945(5] 153:10 155:6 155:17 156:3 163:15
1947(3] 331:8 331:13 331:21
1948 [i] 165:7
195(1] 342:17
1950[7]95:21 112:7
168:14 176:12 177:7 248:13 323:12
1951 [2] 332:14 333:8
1952(8] 186:20 189:10
190:15 192:8 193:18 204:16 227:16 342:15
1953 [6] 195:21 197:15
200:17 201:5 202:18
205:18
1954 [l] 207:10
1955 [i2]
213:19
217:16 221:14 223:6
224:4 225:2 230:5
230:17 238:13 308:9
308:12 309:4
1956(4)234:15 237:5 243:15 245:11
1957 [12]
252:1
253:16 254:1 255:17
256:4 256:16 257:11
268:12 268:14 269:18
274:8 331:13
1958 [6] 272:18 276:7
279:1 288:7 331:8
334:4
1959 [6] 227:19 286:13
291:19 292:4 293:7
293:8
1960 (ioj
171:19
289:5 298:5 299:7
301:5 302:1 304:10
304:11 305:21 330:5
1960s [ij
95:21
1961(3)17:8 24:3
332:7
1963 [l] 331:8
1964(11]
307:21
309:4 310:17 311:1
311:21 312:18 313:17
313:21 314:3 315:7
315:10
1966(1121:10
1969(3] 316:1 316:10 316:19
197(1] 324:19
1970(2) 19:2 95:21
1970s [i2]
33:13
96:12 169:15 177:19
178:5 324:10 325:19
334:18 335:5 337:1
337:9 337:17
1971 [i] 329:20
1976 [2] 20:15 21:17
1979(1] 22:9
$10,000-21700
1980(3) 38:8 174:10 177:18
1982(5] 326:13 326:18
327:15 328:20 331:8
1985 [1)329:12
1987(2)22:12 23:8
1989(5)9:20 175:4 175:6 175:14 317:21
1996(3)1:12 340:17 341:2
19th [7] 2:20 103:16 143:16 175:4 317:21
1st (5) 98:7 252:1 269:18
27:1 148:2
168:14 289:4
2(30] 25:11 26:5
26:15 26:19 27:3 39:7 39:19 41:13 41:21 46:16 138:12 138:14 149:2 157:8 157:14 166:10 191:4 198:5 212:12 212:13
235:3 244:9 270:5 273:11 287:6 298:18 299:5 306:12 309:19
341:8
2-15-40(1] 342:5
2-16-55[i) 342:21
2-19-36[i] 341:19
2-20-30 [i] 342:3
2-7-44[i]
342:8
20(5] 143:11 143:14 235:17 279:13 342:7
20,000 [i]
160:9
200[i) 342:18
20005-2088(1) 3:4
20036-3437(1) 3:13
203(1] 108:9 20442(1]
205 (ij 109:6
20579 m 87:10
207[i] 342:19
20907 m
20th [ij 113:1
21 [5] 147:7
265:8 265:10
210(1] 2:12
211(2) 318:1
212(3] 318:2 323:1
21201 [i]
21202(4] 2:3 2:20
21204 [ij
21234 [ij
213(1] 342:21
21409 m
21410[i]
21478 [i]
21696(i]
21700 [i]
137:14
87:4
316:2
147:10 342:8
318:2 321:21
3:10 1:15 3:7 2:13
1:20
252:2 252:14 269:19 103:18 103:14
Evans Reporting Service
Index Page 1
21802 - Adam
21802 m
62:14
22 [8] 150:5 150:8 265:10 265:12 266:8
266:11 266:14 342:10
^lllpj
190:16
2114 m
191:2
222(1] 2:16
22233 m
272:20
22241 [i]
279:2
22243 [i] 22349 m
279:19 286:14
224[i] 343:3
22586[ii
298:6
22717 m
200:19
22719 m
202:14
22720 m
202:13
22798 m
207:11
22803 pi 208:4
207:19
22880 [i]
225:3
22887[u 22960 m 22965 [ii
225:15 234:17 237:6
22968 m 22972[i]
238:5 238:15
22991 [ii
243:16
244:6
23 [6] 152:9 152:18 153:7 318:4 322:1 342:11
30m 343:4
J4[ij 343:5
236[i] 343:6
24(7] 154:21 155:3
157:21 158:1 282:12 323:7 342:12
2422 m 1:20
243[i] 343:7
24th [i] 256:4
24th-25th [i] 243:15
25 [4] 165:2 165:5 341:8 342:13
25U45 pi
308:1
25047(1]
310:6
25049 [i]
309:9
251 [2] 141:10 343:8
252 [i] 141:18
255[i] 343:9
25th rn 150:10 256:4
289:7 316:1
26(5) 1:12 168:8 168:11 341:2 342:14
269 [i] 343:10 26th [ij 271:13 27(4] 17:10
186:19 342:15 2710(2] 155:8
712(2] 157:18
186:13
157:18 158:3
-714[i] 157:18
2716[i 157:18 272 m 343:11
2727 m 159:15
2728(1] 161:20
2770[i] 165:8
2775 rn 165:15
278 m 343:12
27th p] 200:16 340:16
28(5] 76:3 190:9 190:12 235:17 342:16
282 [i] 343:13
286 [i] 343:14
288[i] 343:15
28th [5] 62:13 69:1 155:5 156:3 243:14
29 m 76:2 176:11 195:15 195:19 342:17
291 [i] 22:6
292 [3j 17:19 22:7
22:8
295 [ii 11:13
297 [11 343:16
29th [5] 35:20 104:20 153:10 256:2 307:21
2nd [3] 165:7 234:15 272:18
3 [18]
35:18 46:16 140:8 158:3 244:10
1AI *Q
28:11
39:9 47:12 157:10 191:4 290:1
35:15
39:20
138:8 157:12 243:6 290:4
j-16-60 [l] 343:17
3-27-53 [i] 342:18
3.5 [i] 292:6
30(6] 134:15 200:11 200:14 210:12 212:17
342:18
30,000 [4]
102:17
103:4 103:21 104:12
300 p) 1:14 2:3 2:19
304[i] 343:17
307 m 343:19
3070[i] 285:12
3 0th (2j 52:8 278:20
31 (3) 207:4 207:7 342:19
315[i] 343:20
32p] 213:11 213:14 342:20
33(5] 224:17 224:20 339:15 339:16 343:3
34 m 230:11 230:14 231:2 231:3 343:4
35(4] 234:10 234:13 341:9 343:5
36(4] 134:19 236:20 237:2 343:6
37(6] 11:16 134:20 135:1 243:8 243:11
343:7
38 pi 251:17 251:20 343:8
39 m 81:4 255:12
Multi-PageTM
255:15 343:9
399 [lj 2:9
3rd [4] 58:19 108:7 108:18 108:20
4 [IS] 27:6 41:4 41:7 116:20 191:5
191:8 203:1 203:9
272:11 279:13 282:12
290:1 292:14 305:7 341:10
4-1-57 [i]
343:8
4-l-60[i]
343:15
4-10-53m 342:17
4-12-54m 342:19
4-13-56 [i] 343:6
4-2-48 [i]
342:13
4-2-56[i]
343:5
4-2-58m
343:11
4-29-64[ij 343:19
4-4-60 [i]
343:16
4-9-52m
342:16
40(6] 34:2 210:12 212:17 269:13 269:16 343:10
401(i] 3:9
41 [4] 272:13 272:16 341:10 343:11
410m 1:21
42 m 278:13 278:16 343:12
43(3] 282:7 282:15 343:13
44 m 286:8 286:11 341:11 343:14
45p] 288:20 289:2 343:15
452 m 59:1
46(3] 297:21 298:3 343:16
47 m 52:9 304:2 304:5 343:17
48(3] 307:13 307:16 343:18
49p) 315:14 315:17 343:20
4th [i] 298:5
5[io) 45:1 54:3 98:3 98:15 162:2 168:21 182:18 339:15 339:16 341:11
5-16-39 [l] 342:4
5-29-29 [i] 341:9
50(2] 47:16 54:2
50,000 [i]
238:9
500 pi 204:14 205:12
206:11
502 m 195:21
503 (ij 196:19
51[i| 56:5
511 (2) 197:8 197:10
52(2] 305:7 341:12
547 pi 230:18
55(2] 274:9 274:13
551(1] 231:11
55402[i]
2:17
58 [i] 341:13
59(5] 63:4 63:21 65:15 78:18 82:4
5th [1] 230:16
6(6] 28:11 52:3
56:5 117:13 209:8 341:12
6-13-35m 341:17
6-15-33m 341:16
6-29-37[i) 341:20
607 [i] 281:10
62 pi 341:14
63 pi 60:20
68(i] 341:15
682[i] 304:18
683 [i] 120:19
6th [5j 66:16 67:4 197:15 255:17 304:11
7(3] 11:20 58:14 341:13
7-25-44(1] 342:1C
70,000[i]
291:7
7th pi 141:9 147:12
8(8] 62:6 67:19 204:14 238:6 287:6
299:5 341:4 341:14
8-6-57 (u
343:9
80p] 85:4 341:14
82(2] 69:2 91:10
86(2] 78:13 341:1'
87(2, 78:16 127:1 <
882-0208[ii 1:21
9(9] 1:13 68:18 82:2
127:13 129:8 341:15
34:2
127:1( 252:1?
9-11-29(1) 341:10
9-28-32(2] 341:15
341:14
9-30-31(11 341:12
9004(1] 113:4
92(3) 243:21 244:1 244:16
94363042/m 1:3
94363042/CL190487 [i] 4:5
94363043/[i) 1:6
97[i] 341:18
9th [ij 190:15
A-3[i] 41:9
A-u-b[i]
42:1
a.m[2) 1:13 134:19
ability [4]
129:17
193:4 200:5 200:7
able [55] 10:8 59:16 59:17 70:4 91:5 92:2 92:2 95:4 101:14 110:7 118:13
128:15 142:11 146:17 148:21 149:16 153:20 158:16 159:8 160:12
160:19 161:14 162:15
162:20 163:10 176:9
189:1 189:8 191:6
191:19 194:18 198:18 199:5 205:7 206:9 223:5 226:15 244:15 249:6 253:6 257:10 268:8 270:10 270:19 273:21 284:3 284:18 285:1 293:3 294:14
309:3 328:7 331:6 331:10 331:11
Above [2j 148:17
148:15
above-captioned m 1:12
Abraham [i] 12:5
absolutely [9] 23:7
82:2 99:6 193:16 243:1 250:7 276:1 295:17 305:3
absorption [i] 171:20
absurd [2] 251:14
221:11
Academy [4] 213:18 241:13 249:12 307:20
acceptance [ij 229:14
accepted [4] 226:10 229:10 306:17 307:5
accommodate m 106:17
accomplished m 170:13
according pj 33:2 340:8
accumulate [i] 92:21
accumulated (2) 191:11 322:7
accumulates m 320:10
accumulating m 321:18
accumulation m 93:2 322:4
accuracy [ij 235:5
accurate [] 6:13
7:2 7:8 77:10 264:21 332:18
accurately [3] 10:9 125:12 248:16
accustomed pi 81:15
acquaint [ij 117:16
acquainting [i] 117:21
acronym [ij 35:7
act [3] 133:18 167:15 334:11
acted [i] 134:3
action [ij
340:15
actions [i]
125:18
activities [2] 158:14 221:1
activity [ij 158:6
actual (3)
13:9
95:18 297:17
Adam (2) 5:5
3:11
ndex Page 2
Evans Reporting Service
add [3] 24:11 120:5 158:12
added [3j
295:5
309:6 309:15
addition [3] 192:17 254:20 255:1
additional [2] 67:8 306:8
addiesscio] 11:12 11:13 11:15 11:16 14:1 22:2 120:7
132:16 163:18 179:6
addressed [4] 8:2 8:11 76:7 242:4
addressing [i] 280:14
adjourn [i] 111:10
admissibility [i] 250:14
admission [ij 250:5
adopt 2} 288:2
287:13
adopted [6] 57:7 57:21 226:6 238:19 239:2 239:11
adSi] 291:10
adults i]
210:13
advanced [i] 12:19
adverse i2j 79:17 80:1 125:2 125:4
126:19 132:5 133:8 182:21 185:14 208:10 210:11 225:21
advertising [6] 19:15 19:18 19:20 20:6 290:5 292:5
advisability 2] 105:11 107:11
advise [i]
66:20
advised i] 110:16
affairs pi
23:18
affectsp)
51:1
affirmatively ptj 264:16 265:1
afternoon [S] 7:19
8:12 69:10 134:20 136:16
again 49)
10:19
31:1 32:6 77:11
87:6 87:7 93:13
95:19 103:19 109:18
114:13 117:9 118:3
129:21 140:7 161:20
167:12 172:16 173:9
174:9 182:5 195:13
198:7 199:3 200:6
201:7 208:3 210:3
223:20 224:8 228:17
239:4 253:9 254:3
265:12 274:21 276:13
303:14 303:16 308:21
309:19 324:18 325:6
325:21 326:1 331:8
332:12 333:18 335:3
against [2j 123:20
9:12
agencies [4] 301:1 301:6 306:18 307:5
agency pi 301:15
19:19
ago 6] 16:6 16:7
42:15 125:17 126:17 297:1
agree 28]
48:7
51:4 62:20 80:1
80:7 80:8 97:21
140:21 167:3 170:11
211:2 276:6 277:21
280:17 280:19 281:3
285:19 300:21 328:10
328:15 328:17 329:18
329:21 330:3 330:14
331:6 331:10 331:11
agreed pi
166:3
agreement 3] 119:12 165:21 167:1
agrees m
48:10
ahead 6]
66:13
84:18 93:8 104:8
192:4 333:5
ailment i] 43:12
aimed pj
194:3
air p] 232:13 297:3
al pi 4:3 4:4
alarming jtj 67:8
albeit pi
320:12
alive fij 280:2
alleged 6)
175:16
177:5 204:21 205:12
212:5 267:4
allegedly pi 270:8 271:1
alleging [i) 323:12
Allen pi 4:3
1:6
allow 2] 235:20
172:6
allowable [4] 231:13 232:10 299:13 299:17
allowed pi 250:11
250:1
allowing p] 241:1
almost i]
283:12
alone ij
300:1
along i2] 90:12 91:15
110:20 158:6 192:9 277:1 303:15 333:4
88:19
108:16 190:5 278:1
alternate [i] 311:6
alternates 2] 214:12 217:14
ALVIN [i] 1:2
always [4j
123:1
123:18 161:10 179:6
ambiguous 3] 60:16 119:6 232:20
American [49j
57:1 138:21 166:2 166:13 196:16 196:20 203:14 209:9
213:18 214:9 222:11 223:6
37:15 157:1
167:17 203:11
213:15 221:15
224:5
Multi-PageTM
226:2 231:12 240:9
240:19 241:12 241:13 242:15 245:21 246:1
246:5 246:15 247:13 247:21 248:21 249:12 249:16 251:8 251:13 252:20 259:14 271:15 296:1 299:11 300:7 300:21 307:17 307:20 317:14 342:20 343:18
among [7]
79:2
110:3 110:12 110:16
226:11 267:7 274:8
amongst p] 71:4
amount p] 98:17
159:9 160:15 172:3
220:9 297:3 320:6 320:12
amounts 9] 117:4
162:6 163:2 163:13 257:12 258:13 259:5 260:5 260:18
analyzed p) 284:1
analyzing pi 171:16
Andrews pi 2:19
Angelos pi 2:2
1:14
annual 9]
57:1
87:2 120:16 237:3
243:14 256:2 278:21
341:17 342:4
ANSI pi 249:13
189:21
answer [99] 11:5 14:10 16:4 25:15 29:21 30:12 31:7 33:14 34:6 44:3 44:7 44:15 49:1 50:8 51:9 56:16 57:13 58:7 60:19 65:4 66:13 74:16 80:4 80:5 91:5 92:17 93:15 101:19 104:10 116:18 117:11 119:16 119:21 120:1
131:8 131:10 148:7 159:1 167:11 173:14 175:7 175:9 175:10 175:10 175:11 175:20 175:21 176:2 178:10 180:1 180:9 180:17 191:6 192:5 193:21
200:3 200:3 205:6 205:7 222:7 222:8
222:9 224:11 225:7
228:9 228:11 232:3 242:2 246:4 246:13 247:9 249:9 257:20 260:12 261:4 261:6
261:9 269:8 274:20 280:15 281:14 281:16 286:2 303:9 320:2
320:16 320:19 321:2 321:4 321:6 322:5 323:2 325:7 331:16 332:11 333:13 333:14
336:3 337:19
answered pi] 32:2 42:6
180:3 180:5 206:15 210:8
17:15 61:20
180:6 251:2
278:10
answering [5] 10:18 18:11 19:7 30:2 30:14
answers p] 10:6
anticipated 3] 238:21 239:2 239:9
antiquity pj 245:12
anyone's [i] 11:3
anyplace p] 25:6
apologize [3] 121:13 144:6 233:5
appear pj
151:14
244:9 275:12
APPEARANCES pj 2:1 3:1
appeared pj 210:12 340:6
applicable p] 5:14 6:20 240:1
application pj 319:10
applications [6]
23:4 226:20 297:9 297:11 320:4 320:11
apply p] 226:20
60:8
applying [ij 220:8
appreciate [6] 61:12 113:21 193:7 244:17 318:5 333:1
approach p] 191:15
appropriate [3] 158:9 158:18 159:9
appropriations pj 100:7
approval p] 310:9
approved 4] 307:21 310:8 342:21 343:19
April [2ij
165:7
190:15 195:20 197:14
197:14 207:9 225:1
234:15 237:5 243:15
252:1 255:17 256:3
272:18 278:21 289:4
298:5 299:7 302:1
304:11 307:21
apt [i] 67:3
area p] 101:8
arena pj
293:11
arguing [2] 321:17
43:21
argument p] 83:5
argumentative [S] 43:19 57:11 101:5 195:3 206:13
arises [2] 107:15
105:15
Arnold pj
2:9
Arrange pi 78:8
arrived [ij
268:11
article [6]
27:6
28:11 178:14 210:21
265:15 289:6
articles pj
93:3
95:15 95:16 95:18
add - assume
96:3 96:15 218:14
ASA [25]
189:21
194:2 194:7 204:8
209:16 222:14 226:6
227:11 227:13 227:14
229:8 229:18 232:8
233:7 233:10 241:5
243:4 284:10 288:9
299:16 300:12 301:6
301:12 310:7 312:19
ascertaining p] 123:20
asks [2] 76:13 125:12
assigned p i 337:13
assistance [i] 168:4
assistant [i] 158:12
assisted [i]
ASSOC 2] 1:7
336:11 1:4
associate p] 28:14
associated 2] 77:15 255:20
association 120] 2:7 4:4 4:13 6:14 21:5 22:20 23:19 24:5 24:9 24:13 24:15 24:20 25:1 25:3 25:5 25:13 25:16 26:21 28:16 31:17 35:8 40:10 42:16 51:14 56:17 59:4 62:13 83:3 87:3 91:21 100:10 102:5 105:11 105:14 107:11 107:14 112:1 113:3 119:10 120:7 120:17 123:13 123:18 133:18 137:11 139:3 139:4 139:7 139:18 140:9 147:12 154:4 156:2 160:14 161:10 164:13 166:3 166:14 167:2 167:15 167:18 170:6 189:13 190:15 192:6 192:13 193:5 200:16 203:9 203:11 203:15 204:11 208:19 209:2 209:3 209:9 209:10 209:10 209:20 209:20 214:9 216:13 221:16 222:12 223:7 224:5 224:5 231:12 240:10 240:19 242:14 242:16 246:1 246:2 246:5 246:15 246:16 248:21 249:1 249:8 249:16 249:17
251:9 251:13 271:16 271:20 277:1 278:2 278:20 296:1 296:2 296:3 299:12 311:13 311:21 312:10 324:12 333:15 334:14 334:21
Association's [3] 158:13 166:5 226:2
associations [4] 209:15 251:8 324:8 324:14
assume [2] 281:21
280:5
Evans Reporting Service
Index Page 3
assumed - campaign
assumed [2] 11:6 70:3
226:11 229:11 246:18 274:7 287:11 295:20
assumes [3] 258:16 authority pj 129:17
260:9 263:15
131:16
'ssumption [2] 330:9 36:1
Atlantic{2] 2:10 5:8
atmosphere [3] 231:14 232:10 232:13
authorized [i]
available po] 28:5 69:11 113:16 154:11 185:3 337:9
158:11
278:7
27:15 72:11 154:17 337:15
atmospheric p] 239:6
Avenue pj 2:9 2:12 11:13
atomic p]
171:20
attached pj 137:11
137:21 255:18 289:6
304:9 304:10 304:13
Averill pi
314:7
314:10
avoid p]
67:6
80:1 161:15
attack pj
118:11
118:14 166:4 166:15
166:18 167:3 226:12
attacking p] 300:19
attacks pi 123:19
117:16
attained p] 211:11
attempt [4] 50:16 92:20 177:5 263:19
attemptedpi 211:18 229:7
attempting p] 192:18
attempts pj 191:20 193:10
attend p]
53:7
53:13 156:8
'ttendance pj 5:11 39:3
attended p] 56:21 272:3 316:9
attendees pi 52:16
attending pi 52:18
attention pj
94:3 94:7 312:21
91:20 98:18
attest pi
107:1
attitude [t] 43:12
attorney pj 4:13 61:17 70:8
attorney-client pj 16:13
attorneys [4| 29:15 30:9 30:16 135:11
avoided [i] 161:12
avoiding pj 185:14
aware noi
30:8
31:3 39:13 40:7
40:10 40:16 40:19
42:17 43:4 47:5
47:5 49:7 49:18
50:4 56:10 56:17
66:9 93:2 96:15
97:2 111:21 119:10
129:16 133:17 135:14
139:20 140:4 146:4
147:3 164:14 164:17
227:20
228:2 230:9 253:18
254:2 254:18 256:15
257:11 257:21 258:2
258:12 260:4 260:17
262:6 262:9 262:12
262:18 263:8 264:1
264:2 264:4 268:15
269:1 269:11 276:7
288:7 288:10 300:2
316:19 317:2 318:20
323:9 325:8 327:1
332:7 332:13 334:4
awareness [i] 259:5
away pj 125:5 285:17
awkward [ij 91:4
B-y-r-a-n [ij 315:19
Bachelor pj 12:14 12:17
background p] 119:7
bad [2] 138:9 178:21
Ballard [i] 2:19
Aubpo]42:l 42:13 43:4 74:5 74:11 74:18 75:2 77:7 77:14 78:3 78:8 110:16 110:19 111:3 124:16 170:15 182:9 205:16 303:12 303:15
Aub'spj 74:21
42:18
Australia p] 315:20 316:19 316:20
Australian pi 267:8
ithorpj
271:5
authoritative pj 306:17 307:4
luthorities [10] 64:9 110:2 162:3 208:17
Baltimore [44] 1:1 1:14 2:3 2:20 3:10 63:5 64:9 64:12 66:21 67:6 82:5 110:2 172:20 176:11 194:17 227:14 253:2 254:7 275:1 275:3 280:8 280:13 287:12 288:2 332:7 332:13 334:5 334:5 340:4
banning pi
Barborkapj
1:1 1:20 3:7 64:1 65:2 78:19 127:21 180:3 227:17 274:9 280:3 281:11 288:8 333:8 340:2
230:7
142:8
ndex Page 4
Multi-Page1
barium pi
basepj 78:2
based [6] 48:14 145:10 195:16 284:13
309:6
8:4 174:8
basic p] 226:9 229:9
basis [4] 104:6 106:2 195:2 270:20
Bates rs3i
36:6
45:15 45:19 52:9
62:13 69:2 80:17
87:4 87:5 87:8
97:19 103:17 104:21
108:8 109:4 113:3
120:18 137:13 141:9
143:17 147:13 150:11
153:13 155:7 165:8
168:15 186:21 187:10
190:16 195:21 200:18
207:10 213:21 214:2
225:2 230:17 234:16
237:6 243:16 244:12
252:2 255:18 269:19
272:19 279:1 279:18
282:18 286:14 289:5
298:6 304:17 308:1
316:2
battery PI
66:20
67:1 79:14 82:6
128:1 129:9 172:21
battery-powered [ij 23:2
Bauer p) 4:15
2:13
bearpj 281:1
became pj
19:15 20:16
21:17 23:9 296:21
18:6 21:10 133:16
become pj 56:18 81:15
becomes pi 280:21
began pj
begin pj 72:1
34:8
250:14
307:2 17:6
beginning [9] 78:17 137:14 170:3 318:2 323:7 326:2
begins pj 114:18 145:9 175:5 270:5
12:3 169:14 321:21
71:21 159:16 285:14
behalf [34]
2:4
2:7 2:10 2:13
2:17 2:21 3:4
3:7 3:10 3:13
4:14 4:16 4:18
4:20 5:1 5:3
5:5 5:7 14:3
14:4 32:7 48:12
48:13 114:17 136:9
166:16 173:4 176:3
221:3 221:6 310:11
311:7 312:9 313:4
belief [2] 307:1
belong pj 324:13
145:9 324:7
below pj 285:15
216:7
bench p]
219:14
beneficial [4] 110:5 110:8 110:10 162:7
Benjamin p] 218:5 314:13
best [4] 131:5 192:19 275:4 277:3
better [io]
47:17
105:13 107:14 124:8
132:3 134:9 144:10
158:7 158:19 159:10
between p2] 28:12
33:12 166:1 167:1 167:16 168:2 178:5 182:13 249:14 317:12 318:13 323:2 325:19 326:17 327:15 330:4 331:8 331:12 331:21 334:18 337:1 337:9
beyond pj
28:19
93:14 148:15 148:17
152:21 153:3 167:19
194:8 221:8
bigp] 115:12 182:13
bill [7j 253:3 253:7 253:16 253:20 254:3 254:8 254:20
billion p]
172:3
biological pj 171:3
birth pj 11:19
bit pj 171:21 310 21
bits pj 115:18 321 13
black [i]
215 21
blood [g]
171 1
171:9 171:13 171 17
172:2 172:7 192 20
200:8
Bluffs [ij
12:6
Board poj
6:16
24:1 25:17 36:12
36:13 36:17 39:1
42:2 52:20 53:3
53:7 53:14 53:16
97:17 104:19 108:6
108:18 141:8 154:7
154:18 195:19 230:15
304:7 304:10 341:18
341:20 342:6 342:17
343:4 343:17
bodies p]
167:1
body pj 200:8 221:16
222:12
bonep) 267:13
Bonnie [S]
1:15
4:6 236:18 340:3
340:19
book pi]
54:4
54:6 54:10 54:14
201:14 201:16 201:18
201:20 202:3 202:4
202:16
booklet [i] 192:14
books [3j
27:15
28:1 28:4
bootstrap p] 199:13
bora p] 11:20 118:5
borne p]
275:7
Boston [4]
2:6
42:13 56:6 275:2
bottom [i2]
120:19 122:3 138:5 145:8 170:8 196:19 266:15 267:13
36:7
127:16 151:9 231:14
Bowditch[i6] 164:5 164:7 168:12 186:20 205:21 215:17 216:7
226:1 228:21 243:13 245:10 278:18 278:18 278:18 279:21 342:15
boxes p]
67:1
79:14 82:6
bragp] 297:2
brain pj280:21
brainchild p] 241:7
brass pi57:4
break pi] 10:12 10:14 113:15 114:1 135:4 136:11 272:7
10:11 83:12
134:13 272:6
briefp] 198:3 272:9
briefly p]
273:6
bring pj 94:2 288:17
bringing [i] 271:14
broad pj
191:15
broadly p] 192:12
brought [i] 274:8
Bruce p]
18:19
buildings p] 332:9 336:12
bulletins p] 202:14
bureaus pj 28:6
28:3
burning [4] 127:21 127:21 129:9 194:19
business p4] 11:13 50:20 75:11 76:7
77:5 77:13 215:3 217:20 293:12
11:12 51:21
76:18 215:3
292:19
busyp] 22:19
By-laws p] 341:8
Byers p]
177:9
Bylaws p] 26:20
Byran pj
315:19
C[i] 42:1
calculated p] 218:18
Caldwell po]
5:5 5:5 45:18 46:3 89:2 89:10
3:11 45:15 87:5
170:1
California p] 188:20
calls pi]
56:14
132:12 222:15 222:18
223:17 224:8 229:3
246:10 268:20 277:18
281:4
campaign pi 117:21
Evans Reporting Service
290:6
Campbell pi 3:12
cannot pi
67:2
136:6 191:13 248:19
278:1
Carbide pj 315:3
214:16
carbon PI 336:5
214:16
care pj 70:14 227:2 275:20
careful [il
145:10
carefully pi 45:4
carried [2] 24:1
23:20
carries [1)
97:7
carrying pj 158:13
123:14
case [34] 1:3
1:6
4:4 9:20 21:8
29:18 67:21 67:21
68:4 68:8 68:12
70:16 70:18 82:3
82:7 82:20 93:14
116:4 116:6 172:20
175:2 179:6 179:8
182:7 191:13 191:13
210:4 239:7 253:6
257:8 260:3 275:8
317:21 331:15
cases [42]
1:12
9:10 9:16 9:18
9:19 29:2 29:6
29:12 52:17 63:4
63:21 78:18 81:16
82:4 127:21 128:1
130:12 149:14 172:21
176:11 177:1 177:5
179:12 179:12 180:15
181:17 191:13 205:1
205:2 205:12 205:13
206:11 206:12 211:19
212:5 266:16 274:9
274:13 274:14 275:13
281:10 294:5
casings m
129:9
cassettes [i] 31:10
category [ii] 39:20 105:8 111:2 155:8 196:20 245:9 309:8
27:6 109:7
158:3 245:18
caused m
106:15
causing [6] 49:19 133:20- 171:10 185:16 198:11 199:8
centers m
295:20
cents [1)292:20
certain [sj
32:18
32:18 32:20 255:19
284:19
certainly [ioj 27:17 50:15 62:18 66:14 70:17 94:16 194:3 212:7 293:11 301:15
certify HI
228:14
340:5 340:9 340:12
cetera pi
195:8
218:15
chairman [6] 24:1 36:17 42:2 42:9 238:17 312:16
chance [6]
54:9
55:19 73:12 114:10
190:18 295:13
change [S]
22:16 23:8 250:2
20:15 24:11
changed pj 13:10 18:3 22:3 24:9 173:16 309:6 309:10
changes [ij 198:15
channeled [i] 205:14
chaotic [ij
287:15
characterization [12]
30:7 32:9 43:2 68:3 68:6 166:7 188:7 284:5 323:18 324:4 332:18 334:11
characterize pj 51:8 146:17
characterized M 125:12
characterizes pj 94:4 125:11
characterizing [i] 248:10
charge [i]
123:20
Charles pj 3:9
2:18
cheaper pj
146:10
check [ij
172:6
chemical [i] 215:12
chemist [ij 319:16
chemistry [ij 12:18
Chemists pi 271:20 296:2
chewed p]
218:16
226:8 240:21
Chicago [sj 208:17 226:10 229:8 229:11 256:3
Chief [i]
255:21
child [4] 172:10 172:11 280:21 294:7
child's [i]
172:14
childhood psj 65:14 65:16 168:21 177:6 177:15 178:4 179:8 179:12 180:20 181:17
191:9 193:19 225:18 259:18
263:10 268:15 274:14 277:14
296:8 296:14 303:16 335:2
337:15
40:17 120:7
177:11 178:12
180:15 185:15
208:9 262:19
273:11 295:20 297:4 336:21
children [43]
65:14 66:10 69:17 79:2
102:10 118:21 149:3 149:10 169:5 173:5
65:1 66:13 102:7
148:14 149:18 174:6
Multi-PageTM
175:16 210:13 213:17 218:17 226:3 226:5 226:8 241:1 252:21 262:10 265:16 267:4 267:9 273:18 275:9 275:14 276:8 280:3 280:20 281:11 294:6 295:16 307:19 315:21 316:9 322:9 343:20
children's [S] 119:17 177:2 203:13 203:17 209:12
Chisolm p] 176:18 275:2
choosing m 221:21
chose [4] 210:4 228:17
chosen [i]
chron [i]
chronic pj 257:12 258:13 260:5 260:19
208:11 302:15
88:16
33:4
256:18 259:6 268:16
Church [i]
3:6
Cincinnati [6] 58:21 124:6 177:2 177:11 192:18 275:2
circles pj
267:8
CIRCUIT [i] 1:1
circulation pj 102:17
103:1 103:3 103:6 103:21 104:12 238:8
291:7
circulatory pj 198:12 199:9
circumstances [ij 66:21
cite [3] 135:20 136:3 333:20
cited [3] 194:2 206:19 288:9
cities m
64:11
61:1 208:18 273:19
274:7 275:1 338:2
city psj 1:1 10:1 179:11 226:10 229:7 229:10 233:15 235:8 240:13 240:15 241:19 245:19 246:7 247:1 247:12 247:19 248:6
280:3 280:8 280:12 288:2 288:8 332:7
332:13 334:4 334:5
340:2 340:4
civil [ij 323:11 CL190487 [ij 1:3 CL190488[ij 1:7 claimed [i] 47:16
claims [i]
40:11
clarification m 24:17
clarify pj
59:17
152:10 152:20 250:2
254:5
clarity [i]
244:14
classification [i] 28:14
clear [ioj
21:16
119:19 131:20 216:2 232:14 254:12 260:14
269:9 320:19 321:5
clearer [ij
171:18
clearly [4]
93:21
132:10 181:9 297:10
client p]
32:7
70:8 70:13 70:15
184:4
clients pj
126:6
clinical [i] 256:17
Clinton [i] 36:16
clippings pj 123:14 191:12 204:15 204:18 212:20
Close pj 85:4 85:12
closely ui
295:19
coaching [i] 321:10
Coat [4] 219:6 219:21 319:11 322:4
coating p)
213:17
218:13 220:7 220:17
226:3 252:21 307:19
320:4
coatings [4] 220:9 320:8 320:9 320:11
coats [2] 220:12 322:4
codep] 25:19
college pj
12:11
13:1 164:15
column [6]
215:19
217:4 283:15 285:10
285:13 314:9
combat [i]
208:20
combination [i] 147:4
combined p] 166:19 167:5 291:6
coming pj 339:11
200:6
commencing [ij 1:13
comment pj 57:4 283:18
comments [i] 123:14
commerce [ij 117:1
Commission p] 122:4 122:6 340:20
commissioner [4]
253:2 254:7 254:13 254:20
commitment m 94:1
committee psj 6:17
155:4 156:2 156:8
156:9 165:7 203:10 209:9 215:18 226:4
229:18 238:18 239:5 239:12 239:16 240:19 242:15 245:21 248:21
304:8 310:7 313:10 313:14 342:12 342:13
committees [2] 238:20 300:12
communications [ij 265:7
Campbell - conclude
communique [ij 205:15
community pj 192:16 281:2
companies pj 38:21 102:6 129:14 139:6 156:7 334:21
company [60] 2:13 2:17 4:15 19:19 24:4 24:12 24:18 36:11 36:21 37:6 37:11 37:12 37:19 37:21 38:6 38:16
38:18 52:17 53:1 77:13 83:2 137:9
138:21 139:1 139:1
139:21 140:1 140:5
156:16 156:19 157:2
157:5 215:12 216:9
216:16 216:17 217:1 217:5 217:6 217:9 217:12 218:2 218:6 283:7 291:4 310:20
313:5 313:17 313:20 314:2 314:7 314:14
315:7 315:10 329:5 329:19 330:4 331:6
331:12 331:20
company's [i] 77:16
competitive [ij 117:16
complaining [i] 90:4
complaint [i] 15:7
complaints [i] 76:8
complete [] 5:9 55:13 142:6 159:18 191:5 318:16
completely [2j 306:6 316:20
compound pj 44:8 49:14 118:3 125:9
246:11 285:17
compounds [4] 218:17 240:1 306:5 309:6
comprehensive pj 94:12 94:15
comprises pi 321:11
concentration [i] 296:20
conception pj 162:7 163:1
concern [is]
37:13 65:1 66:5 66:9 76:6 76:18 102:9 182:6 189:1 215:3 276:21 293:10
37:6 65:12
75:11 77:6
188:19 215:9
concerned [12] 65:13 110:12 128:8 189:8 230:6 275:12 276:4
276:5 276:19 293:9 295:15 313:8
concerning [12) 60:3 75:12 76:8 86:3
135:5 142:8 151:16 166:4 233:7 262:19 263:9 270:21
conclude [i] 48:16
Evans Reporting Service
Index Page 5
concluded - DavidMulti-PageTM
concluded [21 339:15 339:17
conclusion pj 125:13 167:8 222:16 224:9 247:17 257:16 260:9
inclusions pj 125:17 222:18
conclusively pj 181:16
condition pj 287:15
conditions pj 64:12
conduct pj 306:16
77:14
conducted p) 74:5 112:6 335:8
confer m
110:2
conference pi 110:4 271:12 272:3 315:21 316:9 316:13 343:20
confined pi 273:19
confirm pi 127:2 176:10 177:5 181:4 228:21 281:21 285:1 328:3
confirmation [S] 178:4 178:11 179:18 180:20 182:14
confirmations PI 177:15 182:12
confirmed pj 177:3
confuse pi 223:19
93:19
"onfused pj 178:11 78:17
confusing pj 10:21
connection pj 149:17 259:13 300:3
connects pj 132:9
consecutively [ij 244:13
consider pj 128:16 195:6 215:2
considerable pj 171:12 225:21
consideration pj 302:5 302:20
considerations pi 284:13
considered [6] 101:15 124:19 125:3 131:1 171:14 302:11
consists [l] 184:10
Consolidated (i) 255:21
conspiracy pj 323:11 323:12
constant [i{ 118:14
constantly pi 118:11
constituent [i] 117:3
constitute [i] 182:21
"`(institution pj J6:20 341:8
consultants pj 236:5
consumer [i] 140:5
consumption pj 115:10 118:19
contacted pj 16:2
contain pj 240:9
218:17
contained pj 106:4 218:20 220:7 220:10
containing pi 240:17 241:20
contains pj 336:1
184:18
content [5j
218:18
233:8 267:13 267:21
334:7
contention pj 163:12
contest pj
254:9
context pj 94:9
93:20
continuation p] 124:5
continue pj 49:17
65:19 72:7 81:10 88:15 105:14 107:14 117:14 130:19
continued poj 3:1 50:9 74:11 106:16 143:4 206:3 206:4
276:5 342:1 343:1
continues [5j 123:10 124:20 128:12 191:9 208:9
continuing pj 42:13 100:5 106:8 110:17
124:1 142:17 143:7 275:5
continuous pj 120:6
continuously pj 330:7 330:10
contradict pj 281:13 281:17
contrary pj 322:20
162:6
control pj 323:13
295:6
controlled pi 249:16 251:8
convention pj 57:1
cooperation pj 67:5 287:9
copies 1[>7] 6:15 6:16 6:19 7:2 55:10 72:10 90:8 90:9 106:1 114:2 144:12
6:13 6:17 7:8 89:18 99:4
144:3
copy 61] 35:19 45:9 68:21 69:11 72:8 72:21 73:8 80:15 87:1 90:11 97:17 103:14 106:18 108:6 113:16 120:16 136:15 137:12 138:6 138:6 138:10 138:15
13:8 52:7 69:19 73:3 81:7 91:15 104:19 112:19 122:19 137:21 138:9 141:8
142:4
144:9 155:4
157:20 214:4 216:1 244:7 283:17 300:7
142:6 144:11 157:15
165:6 214:5 218:12 244:17 284:5 307:17
144:5 153:21 157:19 213:15 215:20 230:15 283:11 298:4 322:20
comer pj
308:11
Corp pj 315:3
corporate pj 21:2 21:3
24:19 35:1 313:3
15:1 21:7 48:19
Corporation pij
153:12 154:3 154:7 154:11 154:17 155:16 155:18 156:4 196:7 196:9 214:17
correct [46] 9:11 15:4 21:12 21:19 24:16 25:4 27:21 36:8 37:2 39:17 42:4 46:14 50:16 55:18 62:21 63:6 66:6 96:7 97:4
97:5 107:2 121:1
135:10 144:20 144:21 145:18 147:2 148:3 150:19 155:19 163:15 201:1 202:19 205:19 229:2 245:13 266:17 268:12 272:20 293:16 299:9 303:3 304:14 308:13 311:9 322:6
correcting pj 210:16 211:8 211:15 212:3
correctly [lij 98:16 98:21 105:18 106:20
162:10 166:20 219:1 242:11 322:2 322:10
322:13
correspondence pj 33:6 177:13 274:6
Costello [ij 196:7
costs [ij 306:7
couched pj 301:19
Council pi 12:6
counsel p3j 15:18 17:3 17:3 55:16
69:10 73:1 81:7
81:15 89:18 90:5 90:7 99:3 99:4 99:11 104:4 105:5 105:21 106:16 106:18 108:14 111:16 113:11
113:17 127:10 135:9
135:17 136:15 265:9 277:12 322:15 340:8 340:12 340:13
counsel's [i] 105:21
counseling pj 318:7
countpj
292:20
countries pi 317:3
country [4j 246:18 270:9 271:2 306:16
couple [71
17:20
89:17 106:13 123:9
ndex Page 6
248:10 296:21 339:6
course pj
21:1
30:1 135:16 170:14
219:20
courses PI
13:2
court [is]
1:1
4:6 10:8 10:19
46:6 68:3 68:6
68:7 82:15 82:16
82:19 83:6 114:7
136:12 136:18
court's PI
67:21
courtesy pi 69:16
69:19 70:19 73:8
cover pj
96:16
137:8 138:1
coverage pi 334:15
covering [ij 100:7
covers pj
119:18
Cranch pj
284:11
Crane pj
36:17
42:1 42:8
create pj
124:8
created PI
24:12
24:13 24:18 25:1
25:13 25:16
creation pj 42:19
crib pj 145:10 145:20
146:4 170:10
cribs pj 102:6 119:10
119:17 133:18 134:8
145:12 145:17 146:5
204:3
critically pj 126:1
curing [i]
191:14
current PI Curtis poj
15:16 2:8
5:7 5:7 26:16
37:7 44:17 49:11
60:13 64:16 76:10
76:15 76:20 77:8 87:9 88:2 101:17 106:21 114:1 114:4
122:8 177:20 181:2
186:2 194:15 199:20
206:13 221:10 229:3
230:21 241:9 242:1
242:18 246:8 247:5
248:7 251:10 264:20
265:3 293:18 294:17
custodian [4] 21:10
21:17 22:13 30:10
custody pj 23:12
23:15
customer [ij 295:9
customers' pi 295:7
Dpi 304:10 304:13
D.Ap] 262:6
D.C pj 3:4 3:13
D.S pi 312:9
damp] 264:15
damage p] 280:21
damaging p] 253:4
275:8 275:13
dangerous pi 82:20
dangers [i] 82:18
data p] 149:3 149:9 149:17
date ps] 11:19
27:16 33:13 36:13 41:17 75:21 84:9
175:3 187:6 329:14
13:10 35:9 55:7 98:5 187:7
dated [S3]
8:4
26:21 35:19 41:10
45:10 52:8 58:18
62:13 69:1 80:16
87:3 97:18 103:16
104:20 108:7 113:1
120:18 137:9 141:9
143:16 147:12 150:10
153:10 155:5 165:7
168:14 186:20 190:15
195:20 197:14 200:16
207:9 213:18 225:1
230:16 234:15 237:5
252:1 255:17 269:18
272:17 286:13 289:4
298:5 304:9 304:11
317:21 343:5 343:8
343:10 343:11 343:14
343:16
dates [3] 245:12 327:18 327:20
David [136] 3:2 5:3 5:3 6:5 6:9 39:14 43:1 46:6 46:11 47:1 47:8 53:12 53:18 56:13 60:20 62:1
63:7 63:15 65:8 65:18 66:2 67:18 68:5 68:15 69:8 69:21 70:3 70:7 70:14 71:7 71:9 71:13 71:18 72:5 72:12 72:19 73:7 73:20 74:14 77:2
77:17 78:5 78:7 78:9 78:14 81:5 81:18 81:18 81:20 82:1 82:10 82:15 83:5 84:17 85:9 88:1 89:16 90:2
90:6 90:9 90:15 91:8 91:16 92:6 92:11 93:5 97:6
99:2 99:19 104:3
105:5 105:19 106:9 106:12 106:15 108:13 109:1 109:20 113:10 113:20 113:21 116:14 117:7 122:7 122:19 128:19 131:17 132:12 133:11 134:7 136:17 136:21 139:9 157:10
167:6 174:18 178:6
179:15 179:20 181:19 183:4 183:9 183:14 183:18 184:1 186:14 187:10 187:14 199:10 231:15 256:21 257:14 258:16 259:7 260:8
261:1 261:11 261:15 261:20 262:2 263:14 265:10 268:17 268:20 269:4 274:16 275:15 276:10 281:4 281:20
Evans Reporting Service
285:21 303:6 303:20 333:6 338:3 339:6
day-to-day [ij 23:18
days [2j 69:17 115:17
de[2] 2:21 216:16
dead[i] 248:13
deal [7] 22:19 31:16 68:9 68:10 68:10 303:12 305:11
dealers [i] 66:20
dealings] 192:11
deals [5j 65:14 68:7 68:8 129:8 199:16
death [2] 263:11
198:16
deaths m
274:9
decades [i] 74:12
December [si 155:5 155:17 156:3 168:14 230:16
decide [i]
88:11
decided [6] 107:17 130:18 130:20 142:12 159:9 161:15
decision [i] 302:12
declared [2] 166:12 166:18
declined [i) 48:4
declining [6] 48:8 48:17 49:5 49:6 49:18 115:11
deemed[i] 218:13
defend [i] 166:14
defendant [iv j 2:7
2:10 2:13 2:17 2:21 3:4 3:7 3:10 3:13 9:15 70:17 70:18 70:18 323:10 327:9 331:5
331:15
defendant's [2] 116:4 223:4
defendants [14] 1:5
1:8 5:15 15:11 48:6 68:11 69:15 88:19 89:20 149:14
162:14 283:16 327:6
329:10
defendants' [2 59:15 136:20
defense [ioj 57:9 58:3 58:6 73:1 99:4 105:21 106:17 161:13 161:16 166:16
define [4]
34:12
34:17 178:15 178:16
defined [2] 184:9
184:9
definitely m 276:3
definition m 34:16 47:10 58:5 59:18
degenerative pj 198:15 256:19 257:12 258:14 259:6 260:5
260:19
degree PI
12:14
12:19 236:12
delay [2j 106:15
81:8
deliberate [ij 263:19
delivered [3] 235:7 292:7 315:18
demand [2] 48:8
48:3
demonstrate [l] 94:1
department^) 63:5 64:2 233:15 233:16 240:16 241:19 280:1 280:9
departments m 28:2
deponent [i] 7:14
deposed [21 69:16
9:6
deposition [120] 1:10 1:11 4:2 4:8 7:21 8:2 8:9 8:10 10:13 13:4 13:10 14:16 16:3 25:10 26:19 30:1 35:8 35:14 41:3 44:21 52:2 58:13 58:17 62:5 68:17 69:12 69:21 80:10 81:11 82:13 83:4 86:17 89:21 90:5 97:12 97:16 103:10 104:14 104:18 108:1 108:5 112:15 120:11 120:15 126:16 135:16 137:3 141:3 143:10 147:6 147:10 150:4 150:8 152:8 152:16 154:20 155:3 165:1 165:5 168:7 168:11 175:2 184:17 186:12 190:8 195:14 200:10 207:3 207:7 213:10 213:14 221:9 224:16 224:20 230:10 230:14 234:9 234:13 236:19 237:2 243:7 243:11 250:3 251:16 251:20 255:11 255:15 262:3 264:13 269:12 269:16 272:12 272:16 278:12
278:16 282:6 282:15 286:7 286:11 288:19 289:2 297:20 298:3 304:1 304:5 307:12
307:16 315:13 315:17 318:19 319:7 320:21
321:15 322:16 322:19 339:1 339:14 339:17
341:1 341:7
depositions ni 122:11
described [i] 322:8
DESCRIPTION p) 341:6 342:2 343:2
design [3]
290:6
290:7 290:11
designate [i] 13:17
designed [3j 43:11 43:14 291:11
designee [u 35:2
Evans Reporting Service
Multi-PageTM
desirable [3j 158:5 158:8 158:17
despite [1]
277:12
destroy [i] detail [i]
67:1 250:12
detect [1]
267:8
determinants [i] 171:14
determination pj 172:11
determine [44] 110:7 153:20 158:16 159:8 162:16 170:7 170:16 171:2 171:8 172:7 172:10 176:9 179:7 181:5 181:8 189:1 189:8 198:19 199:5 202:15 204:21 205:11 206:9 206:11 211:18 223:5 244:16 253:6 257:10 267:19 270:10 270:19 273:21 274:4 274:13 279:9 293:3 294:14 303:16 326:21 327:2 327:4 332:17 337:8
determined [6] 174:1 226:12 232:12 325:15 325:20 326:3
determining pi 189:14 212:4
develop [S] 192:14 233:10 241:5 256:18 287:15
developed [12] 102:16 172:6 190:1 214:13 226:6 241:12 242:4 242:16 253:1 253:10
290:5 290:5
developing pi 102.-10 158:18 159:10
development pi
304:8 333:16
developments [ij 172:4
devised [ij 117:16
Devoep]
217:9
diagnose [i] 193:4
diagnosing [i] 235:16 diagnosis [i] 235:20 diagnostics [ij 192:20
diedp) 265:16
difference [4] 182:13 216:3 294:9 317:12
differences [i] 318:10
different m 62:1
62:2 119:2 125:10 233:16 297:8 317:15 317:17 320:11
difficult [3j 144:4 193:2 292:19
diminish [l] 144:5
dircct[4j
18:16
192:15 198:7 292:5
directed [i) 19:19 direction [ij 301:19
day-to-day - document
directly [3j 50:20 distinguishes [i]
82:5 166:17
28:12
23:9
23:17 45:9 164:10 168:13 243:13 278:19 304:11 310:18
directors psj 6:16 15:13 25:17 35:19 36:13 36:18 39:1
41:10 42:3 52:7 52:20 53:4 53:8 53:17 69:1 80:15
97:18 104:20 105:9 107:10 108:7 141:8 154:7 195:20 230:15 304:7 341:9 341:10 341:11 341:12 341:15 341:16 341:18 341:20 342:6 342:17 343:4 343:17
disagree [321 68:13
84:20 85:6 88:5
94:16 115:1 115:8
115:15 117:6 140:12
140:14 144:7 238:10 326:11 327:5 327:11 327:14 328:8 328:10 328:15 328:18 329:1 329:2 329:4 329:18 330:1 330:2 330:3 330:14 331:6 331:10 331:11
disappointed m 148:7
discarded pi 32:19 82:6
discovery in 327:5
discuss [8]
16:2
16:20 46:17 78:18
135:15 231:12 258:20
267:13
discussed [U] 8:6 57:3 71:5 92:3 105:10 107:10 126:17 132:21 148:13 259:4 264:8
discusses [2] 65:1 110:1
discussing [6] 42:12 56:7 75:10 122:10 196:8 308:9
81:2
158:5 198:2 243:3 305:5
111:14 161:12 200:6 279:11 316:17
135 5
161 15
221 12 282 10 318 11
discussions [i] 57:8
disease is j
40:8
198:16 245:12 258:14
259:6 260:6 260:19
268:16
diseases pi 257:13
256:19
disposing pi 105:15 107:15
dispute [l]
284:8
disputes [ij 167:16
distinguish [ij 318:13
distributed pi 192:12 300:17
distribution [i] 323:13
dithizoneni 171:16
Division [4] 278:18 278:19 343:7 343:12
doctor [5j
235:7
235:11 236:11 236:14
253:17
doctor's [l] 142:12
doctors Pi 212:21 235:13 236:2
document po4] 13:14 26:8 26:9 26:17
27:9 27:10 28:18 29:16 30:9 32:13 32:15 33:1 33:15 36:1 36:2 36:4 39:11 39:19 41:11 41:12 41:17 41:21 42:11 43:2 43:9 45:5 45:12 45:14 45:20 46:7 46:13 46:16 47:11 47:19 49:4 51:17 52:10 52:12 55:8 57:16 58:21 59:2 59:3
62:15 62:17 63:10 63:20 64:20 64:21 65:6 65:10 65:11 66:5 66:8 69:5 69:7 72:20 73:13 73:15 74:1 75:10 75:15 76:1 76:6 76:17 77:4 77:10 77:12 78:10 78:18 80:17 80:18 80:20 80:21 81:8 82:1 84:1 85:21 86:2
86:21 87:15 87:18 88:4 88:6 88:8 88:12 89:5 91:9 92:7 93:12 93:20 94:8 94:21 98:1 98:4 98:5 99:5 99:8 99:11 99:20 101:16 103:7 103:18 104:1 104:5 105:1 105:3 105:5 105:9 105:20 106:3 106:4
106:5 106:7 106:11 107:2 108:8 108:10 108:11 108:14 108:17 109:1 111:4 111:17
112:13 113:6 113:8 113:11 114:11 114:13
114:16 115:3 115:10 117:9 118:3 119:19
120:20 121:21 122:1
122:14 122:15 125:11
127:8 137:11 137:13 137:15 137:17 138:17 139:10 139:16 141:11 141:13 142:9 142:16 143:3 143:17 143:21
144:17 144:19 147:16 147:17 147:19 148:1 148:16 148:18 150:11 150:14 150:15 150:16 151:3 151:8 151:14
Index Page 7
documentation - evident
151:19 151:21 152:17 153:9 154:11 155:10
155:13 157:18 159:18 165:9 165:11 165:18 166:7 167:9 167:12 67:13 168:16 168:18 *69:9 181:14 181:21
182:18 187:4 187:5 187:17 187:20 187:21 188:5 188:7 188:9 190:18 190:20 196:2 196:2 196:4 197:9 199:1 199:11 199:12
200:18 201:2 201:10 207:13 207:16 211:16 213:1 213:20 214:3 214:7 225:4 225:6 225:9 230:18 230:20 231:5 231:8 231:11 232:2 234:18 234:20
235:1 237:7 237:9 237:11 238:2 238:7
241:17 243:18 243:20 244:4 245:14 246:20 247:4 247:10 248:4 248:17 252:4 252:6 252:8 253:11 254:10 256:5 256:7 257:5 258:5 259:18 259:20 261:20 261:21 263:2 269:20 270:1 270:3 272:21 273:2 273:5 273:17 276:6 276:12 277:17 279:3 279:5 279:7 279:15 281:9 282:20 283:1 283:13 283:19 284:1 286:15
86:17 289:9 289:11 289:14 296:16 298:7 298:9 298:11 299:3 301:4 301:17 304:14 304:15 304:19 306:13 307:10 308:2 308:4 316:6 326:5 333:20
documentation [i]
270:11
documents imj 6:4 6:10 6:12
6:13 6:18 7:3 7:4 7:5 7:7 7:9 7:15 7:19 8:1 8:7 8:10
8:11 14:19 14:20 15:3 15:8 15:10 21:7 29:1 29:2
29:5 29:8 31:2 31:13 32:11 32:19 38:4 38:20 40:5 47:4 48:5 48:6 48:7 48:13 48:15 49:3 51:3 51:16 58:9 59:14 59:15 59:15 59:16 60:2 60:8 60:11 72:17 73:9 83:20 85:13 86:1 86:2 92:1 94:21 95:3 95:9 96:5 96:9 96:11 ^is 96:19 97:9 -7:9 98:13 99:4
101:13 106:8 106:13 110:6 114:21 115:7 115:14 115:18 116:3
116:4 116:5 117:5 117:18 125:16 128:14 132:8 132:10 148:6 148:12 148:13 149:1
149:12 149:13 149:15 152:2 153:19 158:17 159:7 160:5 160:9 160:12 160:13 160:19 161:5 161:14 162:13
162:20 163:10 163:17 163:17 164:2 164:3 169:19 176:9 177:14 177:15 178:3 178:4 179:5 179:10 179:17
181:12 181:12 181:21 182:4 188:21 189:7 191:19 192:2 192:10 198:19 199:2 199:4 206:10 212:19 219:4 222:19 223:3 223:4 223:4 223:5 224:2
249:19 253:5 253:18 257:8 258:5 258:11
258:19 259:3 260:2
260:13 260:16 260:16
260:20 261:18 270:11 270:20 273:21 281:12 284:21 293:2 294:14
299:15 299:20 299:21 300:5 300:6 300:7 307:1 323:19 326:15 327:20 328:5 333:18
Doe pi 3:13 5:6 89:2
doesn't [20]
50:18 67:20 78:17 156:5 182:1 186:3
219:13 240:5 246:3 247:3 258:1 295:9 324:6
29:19 68:9 165:20 186:4 240:6 248:1 296:9
dollars [3]
292:20
293:4 306:7
Dome [i]
289:7
domestic [i] 50:13
dominated [i] 249:16
Don pi 310:10 311:5
done [i7]
45:5
57:9 72:4 88:19
89:21 118:8 119:5
177:11 181:15 194:2
232:17 241:15 262:6
263:9 263:17 307:9
337:4
Donoghue [3] 3:8 4:20 4:20
doors [ij
17:20
doubtpi
208:21
down [i4]
10:20 17:20 56:19 91:13 172:1 175:5 265:13 278:7 339:11
10:8
43:8 138:3 191:13 322:1
Dr [52]
42:18 59:9 74:11 75:2 78:3
42:1 43:4 62:11
74:18 77:7 78:8
42:13
58:20 74:5 74:20
77:13 110:16
ndex Page 8
Multi-PageTM
110:19 111:3 124:11
124:16 142:8 143:15 147:11 148:6 150:9 153:11 170:15 176:17
177:9 182:9 255:20 262:13 262:15 262:20 263:4 263:5 263:7 265:7 267:11 275:2 283:6 284:11 284:11
285:14 303:12 303:15
315:19 316:15 342:7 342:8 342:10
dragging pj 82:12 83:4
drain [i] 281:1
draw pi 125:12 125:17 224:9 247:17 248:19
driven PI 161:16
161:13
dropped [l] 20:4
dry pj 309:17 309:21 319:11 319:19 320:10
dryer [i]2l8:21
dryers [i]
241:1
due pj 229:20 306:5
dues pj 325:13 325:15 325:20
duly pj 8:17 340:7
dump [i]
67:1
dumped [i] 32:19
duplicate [ij 64:12
duplication pj 67:6
Dupont p]
2:21
89:12 216:16 216:17
217:1 283:7 313:20
315:7 331:5
during [20] 17:2 17:5 63:20 69:21 75:6 103:4 114:1 135:4 136:11 186:15 317:2 332:4
335:9
10:10 29:21
74:19 113:15 135:15 287:10 332:5
dust [ij 296:21
duty [ij 285:16
dwelling [ij 218:16
dwellings p] 332:15 338:1
dye [2] 77:19 77:20
E [2] 4:11 255:20
E-m-m-e-r-s-o-n [ij 315:19
E.I [lj 2:21
Eagle [i]
38:5
Eagle-Picherm 37:21
early [i] 336:6
ease[i] 330:16
East [3] 1:14 2:3 2:19
easy [2] 114:2 114:3
Eckart[4]
216:8
311:19 312:17 313:11
economics [i] 195:16
editors pj
294:8
educate p] 280:10
191:21
educating [ij 195:7
education p] 12:9 12:21 162:2 191:15
191:16 192:9
effect pj
127:4
276:13 295:15 325:10
effective pj 183:1
185:13 195:9 195:9 296:21
effects [ij
210:13
efficiently [i] 291:13
effort po]
40:14
79:13 93:19 94:12
114:17 117:15 120:6
134:10 170:19 171:12
180:18 183:1 189:20
199:12 204:20 241:5
274:4 274:12 275:5
275:19
efforts [i2]
93:1
170:5 170:9 170:14
170:20 193:17 194:9
205:11 231:12 287:9
287:17 337:21
eight [i] 106:17
either [is] 32:19 67:1 101:7 152:6
258:9 281:16 282:1 282:2 295:3 295:5
14:5 90:19 156:15 281:21 283:4
elect [ij 16:19
elemental [i] 218:18
elevated [i] 171:9
eliminate [i] 102:8
eliminated [i] 316:20
eliminating [ij 67:14
Ellen [i]
1:8
Emmerson pj 315:19 316:15
emphasis p] 105:10 107:11
emphasize [i] 291:11
employed pj 4:7 4:8 11:10 14:6 186:16 283:6 301:21
employee [4] 14:6 181:13 310:13 340:13
employees pj 15:15 15:16 33:7
employment pj 17:6 312:4
enacted p] 334:5
288:8
enactment [i] 296:13
enamel [i]
146:11
enamels p] 146:14
146:9
encouraged [ij 102:7
end pi 24:11 113:16 136:15 275:21 318:4 333:14
endeavor [i] 203:11
endeavored [ii 123:18
endeavoring [ij
162:5
endorsement [2] 166:1 166:11
engage [1]
158:5
engaged pj 50:20 51:20 112:1
Engineering p]57:2
290:7 290:19
engineers [i] 290:12
England p] 325:9
325:5
entire [5] 93:20 94:6 296:16
66:16 295:13
entitled pi 39:9 39:20 54:4 103:3
192:14 201:14 255:19
282:16 289:6
entity [4]
76:7
76:18 77:6 215:3
Environmental [ij
310:18
episode [ij 67:7
equipment p] 295:6 336:12
especially [ij 283:12
ESQUIRE [i2] 2:2
2:5 2:8 2:11 2:14 2:15 2:15 2:18 3:2 3:5 3:8 3:11
essential p] 191:17
essentially [ij 294: iO
establish [sj 119:3 128:4 202:2 203:12
209:11
established pj 139:18 142:19 228:6 242:15 284:10 297:6 299:12
299:17
establishing pi 139:2 139:4 139:6
establishment [i] 240:18
et[4] 4:3 4:4 195:7 218:15
et.al[4] 1:2 1:4
1:6 1:8
Ethyl [io]
153:12
154:3 154:6 154:10
154:16 155:16 155:18
156:4 196:7 196:9
European [i] 317:3
Evans pj 4:7
1:19
evaporated pj 310:4 310:5 319:12
everybody pj 222:1 285:16
evidence [sj 94:13 250:5 252:19 258:17 260:9 260:10 263:15
336:2
evident [ij
191:12
Evans Reporting Service
evolved (l] 240:20
exact [2i 143:6 144:11
exactly [3]
235:21
287:7 292:20
examination [S] 8:20 87:15 135:2 340:9 341:3
examine [l] 151:13
examined [2] 8:19 340:8
example [2] 180:19
48:1
excellence [ij 50:14
except pi 161:13
114:6
excess [i]
218:19
excuse pi
90:6 91:8 126:4
11:17 100:17
executive [ioj 6:17 23:9 23:17 155:4
156:1 156:8 156:9 165:6 342:12 342:13
exhibit p44] 13:4
13:8 25:10 26:5 26:19 35:14 35:18 41:3 41:7 41:8 41:9 44:21 45:8 46:4 52:2 52:5 58:13 58:17 59:1 62:5 62:9 67:19 68:17 68:20 70:20 71:20 78:19 80:10 80:14 82:2 86:17 97:12 97:16 103:10 104:14 104:18 108:1 108:5 112:15 112:19 113:15 120:11 120:15 120:19 121:10 126:16 126:17 126:20 127:1 127:10 127:13 128:9 128:10 129:8 137:3 137:7 141:3 141:7 142:5 143:10 143:14 143:18 147:6 147:10 147:13 147:14 150:4
150:8 150:12 150:19
152:8 152:16 153:7 153:14 154:17 154:20 155:3 157:16 165:1 165:5 165:14 165:21
168:7 168:11 176:7
186:12 186:19 190:8 190:12 195:14 195:19 198:8 200:10 200:14 207:3 207:7 213:10 213:14 214:1 224:16 224:20 230:10 230:14 230:21 234:9 234:13 236:19 237:2 243:7
243:11 244:9 251:16 251:20 255:11 255:15
264:6 264:10 265:8 265:12 266:8 266:14 267:10 269:12 269:16 272:12 272:16 278:12
278:16 282:6 282:15 286:7 286:11 288:19
289:2 297:20 298:3
304:1 304:5 304:10 304:13 307:12 307:16
315:13 315:17
exhibits [i4] 69:18 70:9 71:14 71:14
125:1 133:1 264:7 341:6 343:2
69:12
70:11 109:21
136:16 342:2
exist [6] 55:14 97:10 181:21 182:1 244:16
299:15
existed PI expect [i]
47:6 8:3
expected [i] 64:11
expense [2] 295:5
281:2
experience [3j 160:16 219:3 319:18
experimentation [i] 100:8
expert p]
117:9
221:5 221:7 281:5
281:6 281:6 319:17
Expires pi 340:20
explain PI 270:12
60:5
exposed p] 173:6
exposure [i7] 169:6 172:14 173:7 174:7
175:17 175:18 181:18 198:11 199:8 256:16 257:11 258:12 259:5 260:4 260:18 263:10
268:15
extend [2] 70:19
69:16
extent [12]
92:2
97:7 101:7 110:7
133:4 179:18 181:20
196:8 209:15 209:21
308:15 309:3
exterior [4i 219:12 318:12 336:13 338:13
Externally [i] 161:12
extra [i 89:18
extremely [4] 130:7 162:6 163:1 163:12
eyes pj 216:5
F [6] 1:10 8:16 9:5
341:13
1:11
341:1
F-o-u-l-g-e-rpj 216:16 282:17
F-o-w-l-e-rpj 310:10
F-r-i-e-n-d-s pi 11:17
face [6] 50:10 69:19 118:20 132:4 196:6 292:17
facilitate pj 111:17
fact [74] 43:20 54:6 55:10 57:14 68:6
74:10 76:17 78:18 89:10 94:14 97:9 126:1 126:11 151:15 156:5
48:17 57:12
74:7
78:3 90:2
122:16 130:1 159:16
Multi-Page
162:17 167:13 167:18 170:5 172:12 172:21
174:4 175:20 179:12 189:3 197:4 202:17 205:1 205:12 205:15 206:12 211:19 226:20 229:1 232:9 233:21 241:4 242:3 243:1 246:4 249:8 257:15 258:3 258:8 258:9 259:8 261:12 261:14 261:16 274:1 274:14 274:21 285:2 287:17 288:12 289:20 296:9 296:18 296:19 297:6 297:14 301:21 302:21
308:11 325:10 329:16
facts [8] 40:14 43:10 43:16 115:17 132:8 258:16 260:9 263:15
Fader [3j
18:19
20:8 20:9
fail pi 278:6
failure [6]
105:21
106:16 199:18 263:11
263:11 265:16
fair [2] 44:20 94:6
Fairhall pj 170:15
124:11
familiar [4] 10:3 38:2 38:2 250:9
family pi
281:1
far [5] 51:4 181:9 223:9 223:15 223:16
faimp] 336:12
fashion p]
244:5
fault [3] 81:11 88:8 88:13
favorable pi
fearlessly pi
featuring pj
February pj 113:1 137:9 147:12 148:11
Federal pj
122:6
Felix pj 41:14 113:2
252:18 161:11 204:15 103:16 139:21 213:19 122:4
41:18
felt pj 6:20 105:13 107:13 158:5 168:1 226:16 227:7 293:11
few [3] 20:1 184:18
50:19
field [3] 160:16 301:14 302:8
fifth p] 64:6 66:15
figures pj
238:19
239:2 274:8
file p] 33:4 135:21
filed [i] 323:11
files [3) 6:14 7:6 7:9
film pj 309:15 309:17
309:21 310:2 319:11 319:19 320:10
finally pj
284:11
321:18
financial [i] 31:17
financing (2i 23:21 94:5
finding p] 327:21
97:21
findings [4] 263:16 263:17 302:5 306:16
finds [l] 264:6
fine [io] 6:2 107:8 131:8 136:7 186:6 270:16 272:8
63:17
132:20 224:1
finest p]
116:21
finger pj 235:14
213:7
finish [7]
10:17
10:18 30:12 158:20
159:1 269:2 320:1
finished pj 26:7
144:15 149:6 237:19 265:21 305:14 319:5
firmp] 250:15
first po2]
8:17
16:1 17:6 17:11
20:13 24:12 35:21
36:9 45:19 52:9
52:15 63:20 64:6
78:17 80:16 83:16
87:4 93:6 97:19
98:12 99:14 99:15
102:20 102:21 103:17
104:21 108:8 108:16
113:3 113:5 113:13
121:20 123:7 127:3
127:17 129:7 137:18
138:12 138:20 141:10
146:8 148:3 149:8
150:11 154:14 155:7
155:12 155:15 165:8
165:9 168:14 190:17
198:9 200:18 207:10
209:14 213:21 220:17
225:2 230:17 234:16
237:5 243:15 245:9
252:1 252:3 252:9
255:17 269:18 272:19
277:15 278:2 279:1
279:8 282:18 283:15
285:10 285:13 285:13
286:13 286:20 287:16
289:5 292:14 294:1
298:6 298:13 304:17
305:2 305:12 306:4
307:2 307:21 308:12
314:8 314:9 316:1
316:3 318:3 327:11
336:6 340:7
five pj 31:12 31:15 31:16 69:17 78:12
89:11 118:6
flight [i]
235:19
flipped [i]
158:21
Floor pj
2:20
Florida [ij
12:13
fluorescence p i 170:19
focus p] 171:13
119:13
focused [ij 98:2
evolved - frame
follow [2]
212:20
206:5
follow-up [3] 150:18 151:5 288:15
followed [5] 99:3
205:20 210:15 211:7 252:17
following pj 107:6 223:15 274:8 310:8 312:16 323:6
follows [8] 8:19 50:19 114:18 182:19 214:13 225:19 252:15 283:16
for-profit pj 25:3 25:5
forefront p] 277:2 280:13
forget pj 129:3
123:3
forgive p]
122:18
form pi]
39:14
56:13 57:9 60:13
63:7 64:16 74:14
76:10 76:12 78:7
97:6 116:14 116:16
117:2 125:20 126:10
126:12 129:20 170:1
177:20 178:6 181:19
188:3 227:11 227:13
231:15 241:9 246:8
248:7 250:1 250:11
251:10 257:14 259:7
260:8 268:17 274:16
294:17 301:8 303:6
327:7
formed p i
former pi 15:15
209:11 14:6
forms pj
147:1
formulate p] 87:19
forth [S] 73:19 115:17 182:9 199:18 244:8
forward pj 24:1
Foulger [4] 216:15 282:17 283:6 285:14
found p] 7:9
7:5
foundation [8] 49:21
228:8 228:13 318:16 318:17 323:18 327:17 331:3
founded pj 284:8
139:12
four [8] 19:1 64:5 66:15 125:10 189:9 194:11 274:7 321:11
Fowler [S]
310:10
311:5 312:17 313:12
313:13
frame p6]
33:9
39:3 53:9 53:10
84:6 95:6 95:20
96:17 101:20 112:5
163:19 169:11 172:17
173:10 173:15 174:10
174:13 182:5 199:3
293:6 311:15 324:9
Evans Reporting Service
Index Page 9
Frank - improved
324:19 325:6 325:17 335:4
Frank [2j 5:1
3:5
"'anklin pi 2:6 18:5
frankly [ij
161:11
free [3] 10:15 123:8 166:14
Friday [ij
156:3
Friendspj 11:16
front [8] 69:18 79:8 143:5 147:13 153:13 186:21 190:15 309:11
fuel [2j 67:2 82:6
full [9] 9:3 28:15 78:17 127:17 149:8
161:8 280:18 283:15
285:13
Fuller p]
5:ll
331:12 331:14
fumes [ij
296:21
functioned [i] 21:5
fund [4] 94:2 142:12 206:4 337:21
fundamental pj 124:2 124:5
fundamentally pi
221:10
funded [3]
43:4
140:16 140:18
funding [14] 42:18 M:ll 74:4 74:20 5:2 75:6 111:2
142:12 142:17 143:4
274:21 280:6 299:8 307:2
furnished [i] 233:10
furniture [sj 203:13 203:17 204:5 209:13 218:15
futile p] 226:17
226:13
future [4]
69:9
162:5 226:20 227:5
fuzzy pj 283:11
214:4
G[6] 1:14 2:14 3:3 310:10
2:2
3:8
Gahaganp] 1:15 4:6 340:3 340:19
gain [i] 229:7
gander [ij
245:1
gather [ij
190:4
general [9]
20:16
20:21 21:4 22:3
105:12 107:12 110:3
232:13 259:20
generally [4] 117:4 169:9 292:17 301:1
derated pj 33:7 *77:14
gentleman p] 248:12 310:12 313:9
gentlemen [i] 314:6
geology pj 12:17
George pj
255:21
262:14 267:11
given p]
6:19
15:6 32:1 98:18
255:14 301:13 328:15
giving [6]
41:6
216:5 319:7 327:9
327:12 327:18
gladp] 192:3
glass [l] 33:18
Gliddenp] 2:17 4:17 4:19 87:13 218:2 330:3 331:3
gobbled [l] 294:8
God [l] 183:20
goes [9] 67:4 83:2
91:19 124:1 167:19 290:11 293:21 296:18 302:4
gone [2] 119:11 172:9
good [11]
9:1
9:2 122:20 123:2
134:12 171:8 171:14
246:15 282:4 282:5
303:14
government [4j 28:3 28:6 28:6 301:15
governmental pi
215:13 238:18 295:19 301:1 301:6 306:18 307:5
governments pj
221:17 222:1 222:13 223:8 224:6
gradual p] 199:8
198:12
graduate pj 164:15
grant [ij 206:4
gratifying p] 210:17 211:9 252:19
great [4] 22:19 50:21 94:5 98:20
GRIMM [S] 135:18 136:2 220:12 265:19 274:3
ground [ij 10:4
grounds [i] 303:11
group [6j
168:2
168:2 171:15 235:7
235:13 284:10
grown [i]
48:4
guess [3]
134:14
159:15 235:18
guidance [i] 238:20
H pj 2:8 282:17
Haikp] 2:16
hailed [i]
124:15
half [3] 16:7 16:10 115:12
hampers [ij 306:5
hand [4] 64:10 72:20 326:4 340:16
handed pj 90:12
70:3
Multi-PageTM
handing p] 89:19
89:18'
handle p]
30:9
170:16 277:3
handled pj 19:20 29:16 30:16
hands p] 89:6
55:15
happening [i] 170:8
happy pj
11:4
hard [10] 121:12 121:18 138:2 138:7 138:8 144:2 144:7 188:11 214:5 246:17
harder [ij
146:10
hardly p] 123:12
91:19
Hardware p] 3:10 4:21
harmful p] 163:13
163:7
Harvard p7] 75:4 100:4 100:9 100:15 110:17 124:6 124:15 140:11 140:19 143:7 143:8 164:15 164:18 182:8 192:18 205:16 236:13 299:5 299:8 302:6 302:11 302:15 302:21 303:1 303:12 306:14 307:3
Hawaii [i] 188:20
hazard [7]
39:9
39:13 39:21 77:21
306:4 322:5 322:8
hazardous pj 86:3 201:21 202:4 270:8 271:1 299:14 299:18
hazards [14] 54:15
56:2 57:8 58:1 77:14 77:15 82:8 86:7 213:16 226:3 226:4 252:20 280:10 307:18
head[2) 10:7 326:7
headache [4] 208:10 208:12 225:20 228:18
headed [i]
124:11
heading [i] 107:9
headquarters [i] 91:20
health [48]
63:5
64:1 77:21 98:18
110:2 118:11 124:7
124:10 162:8 164:19
168:13 192:11 208:16
215:2 215:9 215:14
218:14 226:10 229:11
233:15 233:17 240:15
241:19 243:12 246:17
252:14 253:2 254:7
254:13 255:19 270:8
274:7 278:17 278:19
280:1 280:9 287:11
295:20 299:14 299:19
302:7 302:11 302:16
306:15 307:3 310:19
343:7 343:12
hear p] 89:7 199:20
heard [9]
63:11
154:14 164:4 164:6
290:8 290:18 316:15
317:9 317:11
hearsay [i]
199:13
heart [i] 198:15
held[8] 1:11 20:19 156:3 173:5 198:14 267:7 271:12 310:16
Heller [i]
1:8
help [14] 43:11 93:1 127:11 158:12 189:14 192:15 247:1 283:5 303:15
43:14 127:12
190:4 251:1 333:4
helping [2] 124:7
67:14
Henderson [] 262:7 262:16 262:20 263:4 263:6 263:7
Hercules pi 314:7
hereby [i]
340:4
herein [2] 340:6
8:17
Higgins [i] 314:13
high [5] 12:3 12:3 12:5 12:9 267:7
higher [i]
227:1
highlight [i] 122:20
highlighted [sj 79:1 79:6 105:17 109:8
122:18
HIRSCH[4] 2:18 89:12 329:7 331:9
historical [3] 31:12 57:15 220:21
history [6]
48:20
115:19 161:1 169:17
174:20 311:16
hitsp) 294:11
hold [3] 20:5 20:18 180:18
holds [2j 299:16
299:12
home [3]
11:15
11:16 226:4
honest [i]
320:18
honestly [i] 334:19
Hoover [ij
314:16
hope[i] 191:14
hoped [i]
67:5
Hopkins [5] 176:15
180:18 192:18 205:17 212:14
hospital [2] 177:5
177:2
Houff [i]
3:6
hours [ij
339:6
house [3]
219:11
219:14 219:19
hover [2] 113:18
88:9
hundreds [i] 191:11
hurt [2] 293:12 293:13
hurts p] 292:18 294:12
hygiene [i2] 158:4 158:6 164:18 191:3
202:6 202:11
207:21 207:21
157:8 164:10 199:16 203:1
hygienist p] 236:9 236:17
idea pi] 16:10 61:16 122:9 124:14 148:5 208:11 210:3 216:14
240:11 240:12 246:14
identification [SO]
7:16 13:5 25:11 35:15 41:4 45:1 52:3 58:14 62:6
68:18 80:11 86:18
97:13 103:11 104:15 108:2 112:16 120:12 137:4 141:4 143:11 147:7 150:5 152:9 154:21 165:2 168:8
186:13 190:9 195:15 200:11 207:4 213:11 224:17 230:11 234:10 236:20 243:8 251:17 255:12 269:13 272:13 278:13 282:7 286:8 288:20 297:21 304:2 307:13 315:14
identified p] 159:14 283:19
identify pj 26:16
45:19 108:16 109:4 191:19 249:6
illegible [i] 284:2
Illinois p] 256:3
188:20
ILZRO[4] 7:6 7:9
7:6 7:10
immaterial [i] 183:5
immediately [i] 240:14
impairment pj 198:12 199:9
impartial p] 78:1 78:4
impeachment pj 319:3
implicate [i] 254:14
implication p] 97:8 136:6
implications pj 280:2
implied [i] 166:17
imply [i]
129:16
importance [2] 50:21 98:20
important [12] 51:1 51:6 51:12 99:14 114:19 126:8 158:13 160:1 160:6 166:11 192:10 297:15
impossible [i] 283:12
improper pj 30:5 107:1 129:18
improved [l] 193:4
ndex Page 10
Evans Reporting Service
improvements [i] 172:1
improving [ij 192:20
inappropriate pj 184:21
Inc [7] 1:4 1:7 2:7 4:4 4:13 24:11 216:8
inception pi] 27:16 33:13 35:10 96:2 140:11 140:20 169:14 170:3 303:2 303:4 303:13
inclined [i] 287:12
include [i] 21:7
included [i] 291:15
including [9] 54:15 58:2 69:10 82:8 86:4 119:18 218:21 284:11 335:17
inclusion pi 241:1
incorporate [i] 24:6
incorporated [i] 24:2
increase [6] 177:1 220:9 231:13 232:9 296:19 320:6
increased [i] 238:8
increases [i] 320:12
increasing [2] 118:19 297:3
indefinite [3j 56:14 74:15 303:7
independent [i] 323:20
INDEX p] 341:1 342:1 343:1
indicate pi] 6:6 38:5 38:17 39:11 49:4 66:16 148:12 150:1 152:2 152:6 155:18 156:12 211:17 211:17 212:19 233:13 246:21 299:6 326:16 327:7 327:8
indicated [6] 60:2 160:5 212:7 266:11 267:16 283:20
indicates [6] 67:13 82:4 202:16 248:4 254:6 301:4
indication ps] 37:3 47:5 54:14 54:20 56:2 66:8 100:13 111:1 111:6 136:17 151:9 179:5 201:20 206:17 212:16 249:6 260:3 295:14
indicators [ij 171:4
indirectly [ij 166:17
individual pj 147:4 292:6 292:10 310:10
'individually pi 191:13
individuals p] 53:2 53:3
industrial nsj 120:8
164:18 199:16 199:19 202:6 202:11 232:13
236:9 236:17 245:10 259:14 259:16 297:8
297:8 297:10
industries [S7] 1:4
1:7 2:7 4:4
4:13 5:10 6:14
24:13 25:20 26:20
28:16 35:8 40:2
42:16 44:13 59:4 62:12 67:9 87:3 112:1 113:2 120:17 123:13 137:10 139:2 139:4 139:7 139:18 147:12 154:4 156:2 160:14 161:9 164:13 166:2 166:13 166:19
167:5 167:17 190:14 200:16 242:14 246:2
246:16 249:1 252:17 278:2 278:20 292:17 306:17 326:12 326:17 327:13 328:19 333:15 334:14 334:21
industry poj
84:4 84:14 117:15 123:11
128:13 130:13 233:11 234:1
284:15 285:3 292:7 293:9 306:7
9:13
85:11 124:21
201:14
234:3
291:13 304:7
inexcusable pj 89:16 90:17
infants [1
56:7
56:10 56:18 110:3
110:13 110:16
inference p] 248:19 255:4
inferior [ii 48:2
influencing pj 44:12
inform no] 58:1 60:10 92:2 101:14
130:20 132:3 134:3 193:10 193:18 195:4
information ps]
54:5 60:7 102:5 158:7 158:19 159:11 184:9 190:5 192:16 195:8 206:7 233:6
233:9 280:8 284:14 285:1 296:6 296:8
301:16 327:12 329:9 330:12 330:17 332:2 334:12
informed [i] 193:15
informing pj 43:15
Ingersoll p] 2:19
ingested p] 322:9
34:7
ingestion p] 162:6 163:1 163:12
ingredient [i] 117:3
ingredients pi 226:7
inherently p] 82:20
inimical pj 166:18 167:4 252:16
initial |PI
89:19
Evans Reporting Service
Multi-PageTM
240:15 initiate pi initiated [2]
287:17 injuries p] injury pj
inner [i] 338:2
57:7 42:14
275:14 67:9
inquiries [6] 17:16 18:11 18:16 19:7 86:2 86:7
inquiry [i]
188:12
insistence [s] 240:18 241:17 242:14 253:1
253:10
inspection [4] 27:6 27:16 27:21 28:2
instance p] 32:14 52:21 212:11 314:7
instead [4]
35:7
48:4 73:6 114:5
institute p] 166:2
166:13 167:2 167:17 196:16 196:21 317:14
institution p] 74:20 74:21 75:3 75:5
100:15 303:1 307:4
institutions [2] 302:6 302:10
instructed m 80:5
instructing!?] 29:21 228:10
instructor [ij 164:18
insufficient [i] 256:17
insurance pj 334:15 334:21
intelligent [i] 43:12
intelligently [i] 251:2
intended pi 288:17
intends p]
69:12
intensive p] 206:6
intention p] 117:19
intentionally pi 28:5 88:7 88:11 93:18 101:9
interest [4]
51:18
158:7 235:5 312:21
interested psj 28:3 28:7 44:11 59:18 67:14 67:16 97:20 118:19 121:16 151:10 181:7 189:13 191:4 211:15 212:2 212:4 214:11 248:2 285:15 288:10 289:21 298:18 300:16 327:21 340:15
interests p] 44:13 126:6 166:19 167:4 252:17 253:4
interior pj 218:15 219:12 317:6 318:12 322:7 332:8 332:15 336:13 338:12
internal pj 161:10
international i31 7:12 317:13 329:19
improvements kidney
interpose [ij 43: l
294:21 300:11 324:12
interpret [i] 188:9 J[i, 2:11
interrogatories p] 136:20
J.Hp] 153:11 155:16 216:15
Interrupt [i] 89:10 Jackson [i] 3:12
interrupted [2] 30:3 30:13
interview [ij 78:8
intimately [2] 303:2 303:7
intoxication [ij 130:12
introduce [ij 23:3
investigate [4] 77:6 77:21 176:14 194:18
investigated [3] 176:10 179:11 206:10
January [U] 58:19 141:9 146:5 148:2 186:20 189:10 342:15
Jerome pj 1:11 4:3 9:5 135:7 341:1
job [10] 17:11 18:3 20:15 22:16 23:8 131:8 136:7
27:1 143:16 153:10 286:13
1:10 8:16 339:14
17:13 20:20 23:16
investigation p3] 78:2 78:4 145:10
162:4 162:16 162:19 180:4 181:5 181:8 181:15 181:16 182:10
182:15
investigations PJ 180:5 182:8 182:12
invited pj
302:7
involve PI 295:10
9:12
involved ps] 38:18 39:2 122:5 125:14
166:17 193:14 199:18 215:4 217:19 249:10 254:19 292:11 299:8 303:2 303:8
jobsu) 291:12
Joe [2] 5:3
John [2] 20:14
Johns [5) 180:18 192:17 212:14
join [2] 88:1
joins [2j 89:2
Jones [i]
Joseph [8j 42:1 42:13 81:18 138:21 329:5
Joseph's [6j 37:4 37:6 37:12. 156:19
329:11 282:17 176:15 205:17
88:2 89:12 3:2 3:2 53:1 139:21
36:20 37:11
involvement [ij 253:15
Journal pj 325:9
325:5
Iowa pj 12:6 12:7 journals [ij 324:17
irrelevant p2] 84:17 85:9 92:14 99:7 106:5 122:7 179:20 183:5 183:14 183:17 183:18 338:4
IRS pj 33:2
issue p] 55:3 70:16 89:17 129:8 204:4 250:14 280:14
JR[1] 3:2
Judge h i
1:8
judgment [ij 286:3
July [i] 150:10
June [5] 80:16 84:6 87:3 92:4 104:20
jurypj 94:10
justified [ij 182:20
issues [is]
8:1
8:5 14:1 16:13
30:9 55:20 56:3
68:3 93:13 94:3
128:21 132:9 184:8
199:17 318:12
issuing pj 107:12
105:11
item pj 47:12 104:11
items [6]
29:9
102:6 160:21 210:12
212:17 294:1
itself pi]
24:7
28:18 47:20 65:10
92:8 92:19 93:13
111:5 115:3 117:10
118:4 132:16 151:19
166:7 167:9 167:12
167:21 188:7 192:13
198:17 199:1 205:3
245:15 253:12 254:3
255:9 258:5 287:12
Kaufman [i] 2:16
keep [9] 26:2
91:15 135:7 161:3 218:9 338:21
41:7 141:15 282:3
keeping^] 5:17
Kehoe[i3j 59:9 143:16 148:6 150:9 205:17 265:7 342:7 342:8
58:20 147:11 153:11 266:3
342:10
Kehoe'spi 266:4
Kenneally jsj 3:5
5:1 5:1
127:10
265:8
keptp] 33:5
keysp) 171:5
kid [t] 265:15
kidding [i] 339:9
kidney [ij
268:16
Index Page 11
ridneys - leadMulti-PageTM
kidneys [i] 198:16
Kimberlv m 20:12 20:14
kind [S] 65:19 138:2 151:12 189:14 211:10
jew [i2] 44:5 59:10 83:2 83:3 223:6 240:7 307:3 313:9
35:9 59:11 118:20
256:16
knowing m 149:19 336:9 337:2 337:12
knowledge ms i 28:19
29:17 30:17 31:19 31:20 34:20 35:1 38:19 39:4 44:5 48:11 48:19 49:2 50:9 51:8 82:8 115:17 139:5 139:17 173:19 196:18 216:9 216:11 217:3 219:3 236:15 258:4 258:6 285:5 285:6 297:17 313:3 313:3 313:21 316:7 323:20 324:1 324:17 327:10 328:10 332:11 332:21 334:9
nRrfi 338:15
E[21
known [4]
116:21
140:7 192:19 311:3
knows rs]
29:12
29:14 30:11 32:4
151:1
43 2:5 4:12 340:3 340:19
1-i-t-h-o-p-o-rl-e [l]
L,-U-t-Z[l]
L.I.A [419]
7:15 7:19 13:17 14:3 14:6 14:7 15:13 15:16 24:2 27:9 29:2 32:12 35:2 35:2 35:9 36:6 39:12 40:6 40:16 41:12 43:3 43:5 45:13 46:2 47:5 48:5 48:12 48:13 49:8 49:16
51:11 51:20 53:7 53:13 54:6 55:4
56:10 57:7 58:19 59:15 61:4 62:10 62:16 65:1 66:5 66:9 69:2 74:3 74:20 75:6
6:18 77:5 78:13 78:16 80:19 80:21 86:3 86:21 87:10 91:7
315:5
7:8 9:15 14:4 15:3 17:4 27:15 33:7 35:6 38:4 40:7 42:18 44:10 46:19 48:10 49:7 49:21
52:9 54:2
56:5 57:21
59:18 62:14 65:12
68:11 74:17 76:7 77:13 80:17
83:11 87:4 91:18
92:3 93:3 94:2 94:5 94:11 95:10 96:4 97:19 98:1 98:2 98:15 99:11 100:14 101:14 102:16
103:2 103:13 103:15 103:16 103:18 104:21
105:1 105:8 107:16 108:9 109:4 109:6 110:12 111:2 113:4
115:18 116:3 117:19 118:18 119:3 120:21
122:5 124:19 125:3 125:14 126:12 127:16
128:8 128:15 128:15 129:11 130:1 130:18
130:19 130:20 131:11 131:13 132:1 132:2 133:5 134:2 137:17 140:18 141:10 141:12
141:17 142:11 143:15
143:16 144:19 145:16 146:1 146:4 148:12
149:13 150:10 154:8 155:5 155:8 156:2 156:7 156:17 156:20
158:17 159:8 159:15
161:15 161:20 162:13 165:8 165:14 168:13 168:14 168:15 168:17 168:20 169:4 172:13 173:5 174:15 174:16 175:15 176:3 176:8 176:10 177:14 178:3 178:15 179:6 181:13 181:14 186:20 187:1 187:12 188:17 189:2 189:8 189:21 190:4 190:14 190:16 191:2 191:21 193:10 193:18 195:20 195:21 196:10 196:19 196:21 197:8 200:15 200:19 201:13 202:12 202:14 204:17 204:21 205:10 206:10 207:9 207:9 207:10 207:19 212:2 214:17 215:18 216:7 216:10 217:2 217:6 217:10
217:13 218:3 218:6 221:1 221:3 221:7 221:15 222:11 223:4 223:6 223:21 224:4 225:1 225:1 225:2
225:5 225:15 226:16 227:3 227:9 227:20
229:6 229:13 230:1
230:5 230:16 230:17
230:19 231:11 234:15
234:16 234:19 235:12 235:15 235:15 236:6 237:4 237:4 237:6
237:7 238:5 238:15 240:4 243:13 243:14 243:16 243:18 244:12 244:19 249:8 249:10
249:11 249:14 251:7 252:1 252:2 252:4
252:14 253:14 253:19 254:2 254:15 254:15
254:19 255:17 255:18
256:3 256:5 256:15 257:11 258:12 259:5 260:3 260:17 262:1
267:12 268:14 269:1
269:10 269:18 269:19 270:12 272:3 272:17
272:20 273:2 274:13
274:21 275:3 275:12 276:4 276:7 276:15
276:18 277:9 277:11
278:21 279:2 279:4
279:19 282:18 282:21 286:13 286:14 286:16
289:4 289:4 289:5
289:11 290:13 291:2
292:5 294:15 295:14
296:10 298:5 298:6
298:8 299:7 299:20
300:4 300:15 301:5 302:1 303:1 303:12
304:7 304:8 304:17
304:20 307:1 308:1
308:3 309:9 310:6
310:11 310:13 311:7
311:12 312:4 312:17
313:21 314:3 316:8 319:19 322:6 323:10
324:7 324:16 325:13
326:13 326:17 327:8
327:15 328:19 329:6 329:20 330:4 331:7
331:12 331:21 332:6
332:13 335:8 335:16 336:10 336:17 337:17 337:21 338:11 341:14 342:3 342:14 342:15
342:16 342:18 342:19 343:3 343:6 343:9
343:15
L.I.A. r47i
11:10
17:7 23:17 41:15
41:19 42:20 46:13 52:13 62:21 69:6
73:15 84:15 98:13 108:10 113:7 114:14 154:12 154:18 155:13
155:19 161:6 165:10
187:4 187:18 190:19
196:3 196:12 196:16
201:1 201:11 205:19
206:2 207:17 216:18
236:3 236:7 241:7
245:5 268:12 269:21
293:5 303:4 306:1
311:8 313:3 313:18
316:5
^42.0
labeling pi] 188:4
188:19 189:9 194:4 203:12 209:12 227:15
239:21 245:18 245:20 246:7 247:2 247:13
247:20 271:14 282:16 287:8 287:14 295:4
295:6 343:13
labels [io] 189:15 190:2 226:17 240:1 270:5 270:7
188:16 226:14 240:8 271:1
lack [3] 81:12 318:17
331:3
Lacquer [6] 167:14
209:3 251:7 311:20 312:10 Lacauers m 249:15 311:13
laid [2] 318:16 Lambert [i]
Lane m 11:17
lanmiaP'erci
240:9 *254:6
264-14 268-1
296:2
216:13
327:16 314:21
142:20 254:12
JLdliZd [1J
targe [2] 275:7
largely IU largest PI
140:4
last [28] 16:9 56:19 66:14
7Q*Q 01-4
100:10 106:13 128:2 128:3 144:12 149:8 185:10 187:7 198:8 265:13 281:9 285:7
000.0
301:10
296:19
140:1
46:8 79:7
QQ-17
127:18 128:10 182:19 188:17 280:18 285:10
lasted [i]
late [3j 40:2 172:4
law [4] M3 287:12 340:8
laws [2]
lawyers [i]
lead [449] 1:7 2:7 4:13 6:14 9:12 23:6 25:19 26:20 34:4 34:7 35:10 36:20 37:21 38:6 38:18 39:2 39:13 39:21 40:3 40:8 40:17 42:14 42:19 43:5 43:16 44:13 47:21 48:1 48:3 48:8 49:5 49:6 49:9 49:16 49:19 49:19 50:10 50:15 50:21 51:1 51:12 51:20 54:5 54:15 55:3 55:13 56:3 56:7 56:18 57:2 57:8 58:2 59:4 59:19 63:4 63:21 67:7 67:9 68:1 68:7 68:9 68:10 76:9 76:19 77:21 79:17 81:12 82:3 82:8 82:9 82:17 82:19 83:1 84:3
23:10
170:21
2-2
JU1* /
69:13
1:4 4:4 7:13 24:13 28:15 35:7 37:12 38:16 39:9 40:2 40:11 42:16 43:10 47:17 48:3 48:16 49:7 49:17 50:5 50:20 51:5 53:1 54:15 56:2 56:10 57:4 58:2 62:12 65:16 67:20 68:8 75:12 77:15 81:8 82:4 82:16 82:21 84:13
85:11 86:4 86:4 87:2 91:10 91:18 92:14 93:4 95:5
95:11 96:3 98:19 99:6 100:5 101:15
102:3 102:8 102:10
102:15 103:3 103:20 104:11 105:8 105:10
105:12 106:3 107:9 107:10 107:12 109:12
110:3 110:12 110:15 111:2 111:21 112:1
112:9 112:20 113:2
114:18 114:19 114:20 115:10 116:21 117:2 117:14 117:20 117:20 118:10 118:19 118:20 119:4 119:12 120:7
120:8 120:17 123:10 123:13 123:14 123:21
124:6 124:8 124:20 125:4 128:12 128:16 129:8 129:10 130:7 130:10 130:11 130:12 130:19 130:21 131:14 132:4 132:9 132:11 132:16 132:19 132:21 133:1 133:7 133:17 133:19 134:3 134:4 137:9 137:10 138:21 139:1 139:2 139:4 139:7 139:18 139:21 140:1 140:4 140:5 140:8 140:10 140:19 145:12 145:17 146:5 146:10 146:11 147:11 148:14 149:3 149:9 149:17 151:11 151:17 154:4 156:16 156:19 158:8 158:19 159:11 160:1 160:7 160:14 160:17 161:9 161:11 161:15 162:6 163:2 163:13 164:13 166:2 166:13 166:15 167:17 169:5 169:6 170:6 170:10 170:11 170:17 170:18 171:2 171:3 171:9 171:16 172:7 172:10 172:12 172:13 172:15 173:6 173:6
173:7 174:6 174:7 174:7 175:16 175:18 176:11 177:6 177:11 177:15 178:5 178:7 178:12 179:9 179:13 179:21 180:20 181:17 183:5 183:9 183:11
185:15 185:16 185:16 190:14 191:3 191:9 192:14 192:20 193:19 198:11 198:16 198:17 200:8 200:8 200:16 201:14 201:21 202:5 203:1 204:15 205:1 205:12 207:20 208:9 208:16 210:13 212:5 215:5 215:7 217:5 218:17 218:18 218:19
220:9 220:13 220:16
225:18 227:1 230:7
231:13 232:10 233:8 235:4 235:6 235:12 235:16 235:20 236:1
ndex Page 12
Evans Reporting Service
238:8 239:6 240:1 240:17 240:20 241:1 241:6 241:20 242:6 242:13 242:16 245:10 245:11 245:20 246:2 246:7 246:16 247:1 247:12 247:19 248:6 249:1 252:17 255:20 256:17 256:18 257:12
258:13 259:6 259:18
260:5 260:18 262:7
262:10 262:19 263:10 267:5 267:8 267:13
268:15 273:11 273:18 274:14 277:5 277:14 277:14 278:2 278:9 278:20 280:2 280:8
280:10 280:13 280:20 281:11 282:17 287:8 287:14 289:7 291:15 292:7 292:11 292:16 292:18 293:4 293:10 293:12 294:6 295:10 295:15 296:8 296:14 296:21 297:3 297:4 299:5 303:16 306:4 314:2 315:10 315:21 316:9 316:21 317:4 319:11 320:6 320:12 322:3 322:7 326:12
326:16 327:1 327:12 328:18 329:5 329:11 332:8 332:14 333:7 333:15 334:7 334:14 334:20 335:2 335:8 335:10 335:17 335:18 336:5 336:13 336:21
337:15 338:11 343:13 343:20
lead's nj
291:12
lead-based pj 169:7 172:14 173:3 175:17
181:18
lead-free m 46:20 47:6 47:10 47:14 146:14 146:16 146:20
lead-related m 9:10
leadership pj 299:13 299:17
leading pj 300:13
290:6
leads pi 171:1 172:2
leaflet pj
105:12
107:12 107:17
learn [i] 43:10
least [is]
7:20
7:21 21:10 39:12
42:3 69:11 103:20
126:8 151:16 155:17
211:17 227:7 245:11
299:7 311:10
lecturer [ij 164:17
led [2] 64:13 106:15
ledgers [ij
31:16
left [*] 12:1 12:2 20:9 134:6 215:18 314:9 319:19 322:15
legal P] 55:16 167:8
legible [i]
218:12
legislation p] 252:16
270:6 270:21 288:8
legitimate^] 57:12
179:8 179:12 180:15 181:17 205:1 205:13 206:12 211:19 212:6 274:14 274:17
lessp] 195:9
letter pi]
42:1
42:12 58:18 59:21
60:3 60:6 60:12
62:10 63:16 112:20
137:8 138:1 143:14
147:11 148:2 148:8
150:9 153:1 153:1
153:2 153:3 153:3
153:11 168:12 178:15
199:16 255:16 266:4
266:12 266:20 267:1
289:3 304:6 341:13
341:14 342:3 342:5
342:7 342:8 342:10
342:11 342:14 342:15
342:16 342:18 342:19
343:3 343:6 343:9
343:15 343:17
letterhead [6] 59:5
62:10 137:9 143:16 150:10 186:21
letters PI 327:7
33:4
level pj 172:7 227:1 284:12
levels pj
233:19
libraries [i] 336:18
library p]
337:5
337:7 337:11
liern 81:21
life 47:16
lifelong [i] 281:1
light [5] 60:12 61:7 61:16 61:18 62:12
likely [ij
201:7
limit pj 259:4
limited pj
8:10
68:1 256:1
limiting p] 332:14
253:17
limits [5]
203:17
231:13 232:10 299:13
299:18
Lincoln [ij 12:5
line [ii] 67:19 271:15 278:7 318:4 322:1
323:5 323:5
215:21 318:2 322:1
323:7
lines p] 158:6 192:9
liquid [i]
218:13
list pj 52:16 214:14 309:7
listed [6]
13:18
14:1 14:8 36:16
38:21 314:6
listen [6]
45:2
45:3 62:3 154:13
257:9 261:18
listing [2] 188:10
188:2
Evans Reporting Service
Multi-PageTM
lists [4] 156:3 156:6 310:9 312:16
litany [ij
193:3
literature pj 95:4 95:11 151:12 151:17
207:1 336:21 337:8 337:14
lithopone [5] 46:17 46:20 47:6 146:9 146:13
litigation p6j 29:3 29:6 30:8 30:12 31:3 31:4 88:19 122:6 162:15 225:5
230:19 234:19 237:8 243:19 252:5 256:6 269:21 273:3 279:4 282:21 286:16 289:12 298:8 300:3 304:20 308:3
livestock [i] 210:13
Livingston pj 4:8
lobby [i]
227:20
local [4] 221:17 222:13
223:8 224:6
locate pj
95:4
148:21 160:12 160:19 162:20 163:10 244:6
location [ij
Lombard pj 2:3 2:19
17:18 1:14
longer pj
32:12
146:5 205:18
look [49] 13:12
45:11 48:20 65:5 70:4
71:13 71:20 72:14 72:16 73:3 73:12
88:6 88:7
35:21
55:19 71:6
72:9 73:1 73:21 88:12
99:19 105:16 108:15 109:16 109:17 113:12 114:12 141:11 143:19
150:13 153:8 159:17 170:6 187:2 190:18
225:10 237:12 252:9
256:10 266:1 273:15
279:8 286:20 289:18
298:13 305:2 305:2 308:17 326:5
looked PI
14:21
55:21 124:21 172:20
238:20 301:1 301:6
301:12 314:5
looking [g]
102:4
106:11 122:19 175:3
195:12 210:6 212:9
267:1
looks [9]
41:12
46:15 62:18 80:21
150:20 168:19 187:12
188:11 216:2
losepj 117:14
lots [1] 195:4
loud pj 175:7
Louis pi
278:21
lunch pj
113:15
114:1 134:13 135:4
136:11 170:4
luncheon [i] 134:18
Lutz pj 314:21 315:5
Lynne [l]
4:8
M[i] 3:2
M.D [l] 282:17
machine p] 114:8
114:4
Mackie [i] 3:9
Madam [i] 46:6
Madison pj 11:13 17:19
magazine p] 55:4
55:11 102:15 103:3 103:20 238:8 290:15 291:1
magazines pj 55:14 290:6 291:11
mailp] 292:5
maintain [i] 334:14
maintained pj 6:18 21:20
major p]
208:9
225:20 274:7
makes pj
106:10
285:17 294:9
man [i] 30:10
manage [i] 23:18
managed [t] 18:13
manager pi]
18:8 18:17 19:15 19:17
20:17 20:21 22:3
18:6
18:20 20:6 21:4
managing [i] 18:11
Manfred [S] 164:4 164:7 168:12 186:19 216:7 243:13 278:18 342:15
manifestation [i] 256:17
manner [i]
301:11
manual pj
336:11
manufacture [i] 129:14
manufacturer pj 145:11 323:12
manufacturers pj
38:14 39:1 145:21 145:21 146:4 170:10 170:11 314:16
manufacturing p] 215:4 271:20 296:2
Marc pi 2:14 4:16
March pj
1:12
200:16 304:9 305:21
340:17 341:2
mark [i9j
2:5
4:12 25:9 35:13
41:2 58:12 62:4
86:15 93:9 97:11
103:9 107:21 120:10
137:2 141:2 164:21
186:11 236:18 288:18
marked [92] 13:5 13:7 25:11 26:5 35:15 35:18 41:4
lead's - may
41:7 45:1 52:3
58:14 62:6 68:18
68:19 80:11 86:18 97:13 97:15 103:11
104:15 104:17 108:2 108:4 112:16 112:19
120:12 120:15 137:4
137:7 141:4 141:7 143:11 143:14 147:7
147:10 150:5 150:8
152:9 152:15 153:7
154:21 155:2 165:2 165:5 168:8 168:11
186:13 186:18 190:9
190:12 195:15 195:18
200:11 200:14 207:4
207:7 213:11 213:14
224:17 224:20 230:11 230:14 234:10 234:13
236:20 237:2 243:8
243:11 251:17 251:20 255:12 255:15 269:13
269:16 272:13 272:16
278:13 278:15 282:7
282:15 286:8 286:11 288:20 289:2 297:21
298:2 304:2 304:4 307:13 307:15 315:14
315:17
market p]
50:14
114:20 115:11
marketing [i] 215:4
markets [i] 306:8
Marks PI
289:7
Maryland [is] 1:1
1:15 1:20 2:3 2:13 2:20 3:7 3:10 135:14 249:21
250:9 253:3 253:6 253:15 253:20 254:7 340:1 340:4
Massachusetts p] 2:6
matching j ij 119:2
material p] 92:21 218:13 297:7
materialized [i] 321:19
materially pj 253:3
materials pj 48:2 194:4 213:3 213:17 226:4 252:21 290:7 307:19 309:7
mathematical [i] 320:17
matter pj
4:3
11:2 68:7 77:6
90:2 172:21 219:13
matters [4] 14:8 221:5
maximum [i]
may [78] 7:17 28:6 35:19 39:12 40:7 42:8 60:3 73:19 74:9 79:11 93:13 105:5 108:7 108:20 109:1 114:18 118:6
13:18 238:21
296:20
14:11 39:4 42:3 72:17 75:9 99:19 108:18
110:11
120:18
Index Page 13
MCA - never
122:13 124:19 125:11 126:7 128:5 130:13 130:13 132:5 133:8 141:21 144:9 151:6
152:5 152:5 156:11 59:17 162:7 173:12 .78:10 182:15 182:15 183:16 189:16 195:5 195:6 198:16 200:5 205:7 206:16 207:19 222:18 226:7 238:1
251:1 261:5 264:18 265:16 267:3 275:7
275:9 276:8 280:20 289:16 295:5 295:8 295:10 299:14 299:18 315:11 316:1 316:10
327:18
MCA pj 271:19
271:13
mean psi
24:19
34:9 34:11 59:12
146:16 178:14 181:3
205:3 215:13 242:13
247:15 295:5 295:8
310:2 311:16 337:4
means p6j
35:3
61:18 62:1 171:16
183:2 185:14 192:19
223:4 226:13 245:20
247:13 247:20 294:1
295:2 300:14 303:8
meant p2j
60:12
64:7 64:14 110:7
118:13 198:20 199:5
204:12 210:18 211:6
49:2 253:10
meantime m 170:14 measure [ij 200:7
measures pj 166:16 183:2 191:17
measuring [i] 172:2
meat p] 294:7
medical pi] 34:19
34:21 42:14 43:11 43:14 44:11 44:12 56:6 56:8 74:4 74:19 75:4 77:7 93:2 94:2 94:12 94:15 95:4 95:10 100:4 100:9 100:14
100:15 110:18 121:15
122:15 124:15 140:10 140:18 142:13 162:2 171:15 191:16 192:16
192:19 193:15 194:14
195:7 199:13 212:8 236:5 236:11 236:14
255:21 267:8 281:6
295:21 324:16 336:21 337:8 337:14
Medicine i2] 325:5 325:9
meet [4] 15:18 16:20 123:19 311:4
eeting psj 35:19 1:10 52:8 52:16
52:18 53:1 69:1 80:15 87:2 104:20 108:18 120:16 141:9 155:5 156:1 156:8
'ndex Page 14
165:7 195:20 230:16 243:14 256:3 278:21
304:11 341:9 341:10 341:11 341:12 341:15
341:16 341:17 341:18 341:20 342:4 342:6 342:12 342:13 342:17 343:4
meetings [8] 17:5 39:1 53:8 53:13 156:9
17:3 45:9
97:18
meetings' p] 108:7
member ps] 154:3 154:7 155:19 156:16 156:20 157:2 157:5
181:13 196:10 196:12 214:17 216:9 216:12 216:17 217:1 217:6 217:10 217:13 218:2
218:6 238:17 311:12
313:18 313:20 314:3 325:16 326:13 326:17 327:15 328:19 329:5 329:11 329:20 330:4 331:7 331:12 331:20 332:3
members [69] 28:13 28:15 28:15 36:12 36:13 42:16 42:18
50:19 51:13 51:20 52:17 52:20 52:21
53:3 53:7 53:8
53:13 53:14 53:16 62:12 62:20 67:6
68:11 87:2 103:15
112:20 120:17 129:13 130:20 130:21 131:16 132:3 133:6 133:19 134:3 145:16 145:21
156:8 166:5 168:13 190:14 200:15 201:1
201:8 207:9 214:12 225:1 233:14 237:4
238:16 239:3 239:10 239:16 255:16 289:4
293:5 325:13 327:8 341:14 342:3 342:4
342:14 342:16 342:18 342:19 343:3 343:6 343:9 343:15
members' pj 128:20 335:10 335:17 335:18
membership [3] 28:11 129:12 329:10
memory pj 16:21
54:18 148:19 196:11 196:14 334:2 335:13
mental pj 281:2
148:13
mentally pj 275:10 276:9
mention p] 65:12 106:3 193:12
mentioned [2] 170:4 170:5
merged [i]
196:16
merger pj 197:3
196:20
merits pj
117:17
Multi-Page TNI
118:1
messages [2] 292:6 292:11
metp] 16:10 16:18
59:13 161:10 312:7 312:11 315:11
metal [i]
34:5
metallurgy pi 13:3
Metals pi
37:18
method pi 300:19
172:8
methods pj 195:6
172:6
Metropolitan [ij 3:3
Miami p] 12:13
12:13
MICHAEL [ij 2:15
microfiche pj 31:9
microfilm p] 6:18 29:9 31:8
microfilms [ij 31:10
mid [io] 103:4 177:19 178:5 324:20 325:19 334:18 335:5 337:1
337:17 337:17
middle [4j
30:2
245:18 292:15 318:11
midway pj 175:5
might []
99:8
218:16 240:21 265:8
301:15 333:4
million p] 306:7
292:6
mind p] 45:18 76:14
109:19 184:4 213:1 224:9 275:7
minds p]
222:16
miner [i]
114:20
miners p] 51:4
50:21
minimal p] 256:16 257:11 258:1 258:13
259:5 260:4 260:18
minimize [4] 213:16 226:4 252:20 307:18
mining p] 37:13 38:18 51:13 85:3 157:5
37:6 39:2 140:1
Minneapolis p] 2:17
Minnesota pi 2:17
minor p]
12:17
117:4 184:20
minute pi 83:13 83:14 162:6 163:1 194:6
minutes psj 6:16 14:21 31:13 35:19 45:9 52:8 80:16 87:1 97:18 104:20 120:17 141:9
71:10 111:8 163:13
6:15 21:3 41:10 69:1 89:11 108:7 155:5
165:7 195:20 230:16 254:16 304:11 304:12 341:17
mischaracterization [9] 43:19 247: 254:16 275:17 276:2 276:4 277:8 296:16 317:8
mischaracterize p] 184:21
mischaracterized p] 131:3
mischaracterizes p] 145:20
mischaracterizing p] 61:14 275:20
misconceptions [4]
210:16 211:8 211:15 212:3
mislead [4] 94:10 101:9 255:6 263:19
misleading p] 93:19
101:4 125:21 126:12
183:15 183:17 183:19 269:4
missed pj 188:1
102:20
missing pj 141:19 142:1 157:14 157:17 244:1 244:2
misstatements p]
210:17 211:8 211:16 212:3
misstates pj 43:19 126:11 129:21 131:17 132:8 132:8 263:16
misstating p] 125:21
mistaken pj 157:11
misunderstand p] 72:19
mixing p]
119:2
Modern p] 201:14
modification p]
245:19 246:6 247:1 247:12 247:19 248:5
modified pj 240:17 241:3
moment p3] 26:6 45:11 143:19 150:13 165:15 207:20 273:15 308:19
13:12 142:7 153:8 213:7
338:7
money pj
159:10
235:18 276:21 292:20
296:11
monies p]
206:5
monitoring p] 337:14
month pi
16:7
16:7 16:9 16:9
210:12 212:18
Moore [i]
314:14
morning p] 9:1 9:2 182:7
most [20]
14:1
48:1 114:19 160:1
160:6 169:5 173:5
174:6 175:15 182:21
185:13 191:9 201:7 201:19 221:10 222:12 235:16 275:8 284:19
294:5
mostly [i]
139:3
mother pj
69:16
motion p] 303:20
136:1
motions p] 10:7
5:19
mountain p] 69:18
move pj
68:14
77:2 91:15 119:15
127:6 271:12 303:18
moved [ij
190:5
moves [i]
208:20
MPVLAp] 168:5
Mrs pj 90:1 90:5 90:11 90:12
multiple p] 184:10 210:20 220:8 320:4 320:11
municipal pi 280:1
municipalities p] 226:12 287:11
mustp] 7:20 8:8 275:7
mutually p] 110:5 110:8 110:10
Myron pj
314:9
N-a-l-epi
315:2
N.Wpj 3:3 3:12
Nalepj 315:2
name ps]
9:3
9:5 9:19 20:13
24:9 36:10 46:17
81:17 81:18 164:4
164:6 194:10 215:19
215:20 216:7 216:15
291:5 310:10
named pj
194:11
194:12 323:10
names p]
20:1
214:14 314:5
national pi] 38:16 137:9 139:1 140:5
156:16 167:14 209:2 216:12 217:4 249:15 251:7 311:12 311:20 312:10 314:2 315:10 326:12 326:16 327:1 327:12 328:18
natural p]
82:16
nature pj
86:4
105:12 107:12 201:21
202:4 259:20
nearly pj
204:14
necessary pj 135:21 138:10 227:8 264:6
needp] 71:18 242:5 273:14
needs p]
318:15
neither pj 101:10
5:11
Nemours pj 216:16
never [22]
49:21
Evans Reporting Service
50:5 58:1 59:21
130:1 173:21 184:4
263:2
50:5 58:8 60:6
131:11 180:7 257:3 277:9
57:7 59:13 109:19 131:14 181:21
257:6 305:19
new p6] 2:10 2:10 8:5 8:11 10:2 11:13 11:14 11:17
13:3 21:20 23:3 24:8 25:7 172:5 208:17 226:10 229:7 229:10 229:17 233:15 233:16 235:6 240:13 240:15 241:19 245:19 246:7 247:1 247:12 247:19 248:5 287:11 290:5 325:5 325:9 339:11
newspaper [7j 123:13
191:11 204:15 204:18 210:12 212:17 294:7
next [36] 27:4 45:8 47:21 50:12 52:5 55:2 56:5 58:16
62:8 62:8 68:20 74:12 78:16 80:13 87:17 90:11 117:13 127:5 152:14 157:17 161:8 161:21 191:2 202:21 209:8 216:15 217:4 218:11 283:14 292:14 293:21 295:17 296:18 312:14 318:4
318:5
nice [i] 255:1
night [i] 144:12
nine [2] 89:5 106:17
Ninth [ij
2:16
NL[i] 5:10
NLI [2] 137:14 316:2
nod [2] 10:7 271:9
NOLAN [ii 2:15
None [i] 146:2
nonferrous [ij 292:16
nonresponsive [i] 303:18
nontoxic [2] 335:10 335:19
nonvoting [i] 28:13
nor [8] 68:9 68:10 131:15 131:15 145:12 340:13 340:13 340:14
North [ij
3:9
Notary [2j 340:3
1:16
note [3] 27:8 89:4 283:10
notes [i] 122:18
nothing psj
82:3 92:14 129:10 131:9 152:5 173:2 183:5 228:7 239:6 333:6
8:18 99:6 152:1 178:7 232:1
notice [ii]
13:8
13:9 13:11 13:16
14:2 14:8 39:8 52:15 221:9 260:4
341:7
notified [i] 182:8
November [2j 11:20 26:21
now [79] 11:9 13:9 23:12 23:15 25:3 29:21 41:6 42:11 47:21 49:6 58:16 62:4 68:13 70:6
76:5 80:13 93:15
97:15 98:15 104:17 108:4 110:1 112:18 120:14 128:8 130:15 137:6 141:6 143:13 147:9 150:7 152:15 155:2 160:10 163:4 165:4 168:10 172:8 176:7 176:7 182:18 186:18 190:11 194:13 200:13 205:8 207:6 213:13 224:19 230:13 234:7 234:12 237:1 238:2 238:8 243:10 248:13 250:17 251:19 255:14 256:11 268:11 269:15 272:15 275:19 278:10 282:14 284:3 284:9 286:10 287:7 289:1 305:17 305:18 307:15 312:14 315:16 320:3 321:6
now-members [1] 43:4
NPVLA [i] 287:9
number [i56j 4:5 13:4 13:8 16:17 25:10 26:5 26:15 26:19 27:3 27:10 35:14 35:18 36:6 39:9 39:20 41:3 41:7 44:21 46:16 47:12 52:2 54:3 56:5 58:13 58:21 62:5 62:14 68:17 80:10 82:2 86:17 87:4 87:6 87:7
87:8 97:12 97:16
98:3 98:15 103:10 103:17 104:14 104:18 108:1 108:5 109:4 112:15 112:19 114:2 114:19 116:20 117:13 120:11 120:18 121:10 128:9 137:3 137:7 137:13 138:7 140:8 141:3 141:7 143:10 143:14 143:17 147:6 147:10 150:4 150:8
152:8 152:16 153:7
154:20 155:3 157:18 157:20 162:2 165:1 165:5 168:7 168:11 168:21 177:1 182:18 186:12 186:19 187:11 190:8 190:12 191:8 195:14 195:19 200:10 200:14 203:1 203:9 204:14 207:3 207:7 208:8 209:8 210:11 212:12 212:13 213:10
Multi-Page TM
213:14 214:2 224:16
224:20 230:10 230:14 230:21 231:2 233:15
234:9 234:13 235:3 235:18 236:19 237:2 238:6 243:7 243:11 251:16 251:20 252:15 255:11 255:15 265:12 266:8 266:14 269:12 269:16 272:12 272:16 278:12 278:16 282:6 282:15 286:7 286:11 287:6 288:19 289:2 297:20 298:3 298:17 299:5 304:1 304:5 307:12 307:16 309:9 315:13 315:17
numbered [5] 27:4 52:5 58:16 62:9 80:13
numbers pj 41:8 45:16 192:21 244:13 275:6
numerically [ij 244:9
O'Brien [i] 5:12
object [96]
32:6
32:8 39:14 43:18
49:11 56:13 60:13
61:15 63:7 64:16
65:8 67:18 68:2
68:5 73:20 74:14
76:10 78:5 81:9
85:19 91:16 92:6
92:13 93:5 93:6
93:10 93:18 95:12
97:6 99:2 99:5
99:7 104:3 104:6
105:19 106:2 106:21
116:14 116:16 125:20
126:10 129:20 132:13
133:11 136:5 142:18
143:1 151:7 170:1
177:20 179:15 181:2
181:19 183:4 186:2
194:16 199:10 231:15
241:9 242:1 242:18
242:19 246:8 247:5
248:7 248:9 249:5
249:20 250:2 251:10
256:21 257:14 257:15
258:16 259:7 260:8
263:14 266:18 274:16
275:15 276:10 281:4
281:7 294:17 301:8
303:6 303:10 303:20
311:15 318:7 319:2
324:3 331:2 334:10
335:21 338:3
objected [ij 63:17
objecting [ij 250:21
objection [324] 14:9 16:4 16:12 21:13
25:14 25:21 28:8
28:17 29:11 29:20 31:21 33:9 34:6 34:10 34:14 35:11 37:7 37:8 39:3
39:16 40:9 40:18 43:2 43:6 43:17
44:14 44:17 44:18 46:21 47:1 47:8 47:9 47:19 48:9
Evans Reporting Service
48:18 49:10 49:12 49:20 51:7 53:5 53:9 54:17 54:21 56:12 57:10 58:4
60:15 63:1 63:9 64:19 65:3 65:3 66:12 75:1 75:16 76:12 76:20 76:21
77:8 77:9 77:17 77:18 78:6 79:19
80:3 81:6 84:16
84:17 85:1 85:5
85:8 85:9 85:15
85:19 86:5 88:1
88:2 88:3 89:3
89:8 89:11 89:12 89:15 92:5 92:11 93:17 95:19 100:18
101:3 101:17 101:18 102:19 103:5 104:9
106:8 106:11 107:20 109:20 110:9 110:14 111:4 112:3 112:11
115:2 115:16 117:7 117:8 118:2 118:15
119:1 119:15 122:7
122:8 125:6 126:8
126:21 127:6 128:18 128:19 128:21 129:3
129:7 130:6 131:2
132:7 133:10 134:7
139:8 139:9 140:2 140:6 145:19 146:15 148:9 150:21 151:18 152:4 154:1 155:20 156:10 156:14 158:20
159:4 159:12 160:3
160:8 161:17 162:9 162:18 163:14 163:19
166:6 167:6 167:7 167:19 169:8 172:16
173:9 174:9 176:6 177:17 178:1 178:6 178:8 179:14 179:20 180:2 180:14 181:3
184:5 185:18 188:6 189:11 192:4 193:20 194:15 195:2 196:13 196:13 196:17 198:21
199:16 201:3 202:1
203:19 205:3 206:13 206:14 208:13 209:4 209:17 210:19 211:12 211:20 215:6 215:10 216:20 217:21 219:7
220:11 220:18 220:18
221:20 221:21 222:15
223:10 223:13 223:17
224:8 226:18 227:10
228:1 228:19 229:3
229:15 230:8 232:11 232:12 232:18 233:12 234:5 236:8 239:4 239:13 241:8 241:10
245:14 246:10 247:6
247:16 249:9 249:18 250:11 250:12 251:12 253:11 253:21 257:18 258:15 259:9 259:12 260:7 261:1 261:2 261:5 262:11 263:13 268:17 268:19 269:3 269:7 270:14 271:3 271:7 274:2 274:3
new - once
274:18 275:16 276:11 277:6 277:9 277:16
277:18 280:4 280:15 281:14 283:8 285:4
285:20 285:21 287:19 288:4 291:17 292:12
293:6 293:15 293:18 293:19 294:19 296:15
297:5 297:16 302:3 302:13 306:10 317:5
317:7 318:21 319:13
320:14 320:15 322:11
322:12 322:18 323:2
323:5 323:6 323:15
323:17 324:9 324:18
325:17 325:21 326:19
327:16 329:7 329:8
331:9 331:14 332:1 332:10 332:16 334:10
334:16 335:3 335:12
335:20 336:8 336:15
336:19 337:3 337:18 338:5 338:14
objections p] 5:13
5:19 6:7 6:7 82:14 87:14 87:16
87:19 89:1 132:14 249:21 250:4 250:10
250:12 250:16 250:19
250:20 251:1 322:15
obtain PI
12:9
12:14 12:19
obtained pj 192:10 284:14 285:2
obtaining [i] 43:16
obvious pi 129:21
126:1
obviously pj 182:20 182:21 184:7 194:1 281:6
occasions [4j 9:8 15:20 17:2 220:2
occupational [2] 119:19 160:16
October [8]
97:18 98:7 102:12 175:3 317:21
45:10 101:21
269:18
off [16] 33:19 33:21 81:2 111:12 111:14 174:1 198:2 221:12
243:3 279:11 282:8 282:10 305:5 316:17
326:7 339:7
offer [2] 90:8 90:9
office [5]
16:2
16:11 21:21 55:17
123:12
Officer [ij
officers [ij
offices [3J 2:2 25:6
offset pi
255:21 15:12 1:13
117:16
often [4] 210:17 211:8 295:2 306:5
Ohio [i] 188:20 Old [2] 17:9 67:1
olderp 216:4 273:19
oncepj 172:10
Index Page 15
one - person
one [102] 6:7 8:7 9:20 20:2 34:14
35:5 38:11 40:20
44:16 49:15 55:15
64:5 66:15 69:19 9:19 70:8 72:8 ,3:6 76:9 76:19 79:16 80:1 80:16
83:3 91:3 97:10
98:13 98:19 106:18
111:8 113:16 114:5
115:3 122:11 125:1
126:5 129:1 137:17
138:6 146:19 149:15 151:10 151:16 156:4 160:6 164:10 164:21 166:16 167:2 167:2 167:8 168:2 170:9 172:6 179:3 180:19
184:17 193:3 194:10 195:5 208:8 214:21 219:6 219:17 219:21 223:1 227:17 227:19 233:20 239:5 239:14 246:16 251:3 259:12
264:7 264:19 265:15 266:3 266:6 267:6 268:9 271:21 277:4
277:7 277:13 281:15
284:10 285:15 286:4 290:6 300:8 303:1 309:17 317:15 322:4 327:11 328:10 328:21
329:13 331:19 333:20
338:7
one-third [ij 296:20
nerous pj 295:3 .96:3 296:13
ones [4] 129:15 206:11 285:9 325:2
open pi 27:21 28:2 339:1
opinion [4] 198:14 216:4 281:5 286:4
opportunity [i7]
70:9 71:11 90:10 90:16 151:15 185:6
70:10 73:21 90:14
90:19 152:20 270:15
71:1 88:6 90:15
104:5 165:14
opposed [ii] 43:15 43:15 175:18 228:6 254:7 254:13 275:13
5:20 172:14 254:2
254:15
opposing [2] 253:2 253:15
opposition [2] 253:19 254:19
order [8] 6:10 6:11 23:21 67:21 68:3 68:6 68:7 141:20
ordinance [6j 288:13 332:7 332:14 332:17 333:8 334:5
epi 38:18
organization [ii] 7:13 78:1 129:12 204:1 233:11 234:6 291:3 300:11 302:19
ndex Page 16
306:15 317:13
organizations p] 233:16 295:21 296:7
301:13 317:16 317:17 324:14
organizing pj 158:12
origin [i]
64:1
original [ij 144:5
originally [i] 7:6
Orleans pi 10:2
otherwise [ij 27:20
ought [4]
34:15
152:10 185:8 261:18
ounce [4]
79:11
125:1 126:18 128:5
outbreak [i] 64:13
outcome [4] 110:4
166:11 208:20 340:15
outfit [l]
203:15
outlet [4]
51:1
51:6 51:13 160:7
outside [l]
232:13
outstanding [i] 50:14
overall [ij
191:15
overbroad pi 95:13
Overruled pj 174:18
overstatement pj 301:10
own pj 81:11 81:12 88:8 126:6 129:14
oxide p] 146:13
146:9
p.m[2) 134:20 339:16
page [iso]
27:4
27:4 28:11 36:10
39:7 39:19 41:13
41:21 45:19 46:16
47:21 52:9 52:15
54:3 56:5 69:19
78:16 80:17 83:10
87:4 91:7 91:18
97:19 98:2 98:9
98:15 103:17 104:21
105:8 108:8 109:5
113:3 117:13 127:16
137:14 138:6 138:12
138:14 138:14 138:16
140:8 141:10 141:17
141:19 145:1 145:8
145:8 147:13 149:2
150:11 151:9 153:13
155:7 155:15 157:8
157:10 157:12 157:14
157:17 158:3 159:16
161:8 161:20 161:21
165:8 165:19 165:20
168:14 175:4 175:5
176:8 186:21 187:8
188:17 190:15 191:1
191:2 196:6 196:19
197:19 198:8 200:18
202:12 202:21 207:10
208:2 209:8 213:21
218:11 225:2 225:15
230:17 231:11 234:16
235:3 237:5 238:5
238:6 238:15 238:16
243:15 244:3 244:6
Multi-Page TM
244:9 244: 16 245:9 245:17 252: 1 252:14
255:17 267: 12 269:18
270:5 270: 15 272:19
273:11 279: 1 279:18 280:18 281::9 282:18 283:14 285::7 285:8
285:11 286: 13 287:6
289:5 290::4 292:14
292:14 298 :6 298:18 299:5 304 :17 306:12 307:21 308 :12 309:8 310:6 312 :14 316:1 318:4 318 :5 321:21
323:1 341 :3 341:6 342:2 343 :2
pages [to]
78:12
142:2 144:2 159:17
244:8 290:1 305:12
318:1 321:11 321:18
paid pj 235:17 312:21
paint pos]
39:1
46:20 47:7 47:16
48:3 49:17 50:14
50:15 54:15 56:2
58:2 67:20 68:1
68:8 68:8 82:3
82:9 86:4 92:14
99:6 102:8 106:3
116:21 117:3 117:9
117:15 125:4 128:17
128:20 129:13 130:10
130:11 132:4 132:16
132:19 133:20 145:12
145:17 167:14 172:14
173:3 173:8 174:8
178:7 179:21 181:18
183:6 183:9 183:12
189:15 201:21 202:5
203:12 208:19 209:1
209:2 209:10 209:12
209:20 216:8 216:12
217:19 217:20 218:5
219:5 220:10 221:5
230:7 233:11 234:1
234:3 240:13 242:17
245:20 246:7 247:2
247:12 247:20 248:6
249:15 251:7 277:5
277:15 278:10 284:15
285:3 292:11 296:1
311:13 311:19 311:20
312:10 316:21 317:4
319:11 319:16 320:4
321:17 323:11 332:8
332:14 333:7 335:18
336:13 338:1
painted [i]
painting [i]
paints p4] 119:12 133:7 134:4 146:8 146:14 146:17 147:4 160:2 169:7 170:11 208:16 226:7 226:17 226:21 233:8 240:16 241:2 241:6 242:6 287:8 291:16 334:6
paper pj
219:19
336:11
117:4 134:4 146:12 147:1 160:7 175:18 226:14 227:5 240:21 241:20 287:14 338:12
42:10
259:13 259:15 315:18
papers [2] 15:6
15:1
paragraph [72] 43:8
55:2 56:19 64:6 66:15 66:16 67:4 78:17 79:7 79:10 83:14 83:17 99:13
99:15 99:18 100:3
100:13 100:19 100:21
101:1 105:17 106:20 109:8 110:1 123:5
127:17 127:17 138:12 138:20 145:9 148:3 149:8 161:9 166:10 167:20 167:21 176:21 183:10 183:12 184:18 184:21 185:3 185:7 185:9 185:11 185:19 185:21 188:18 191:8 198:9 206:15 231:14 231:19 245:19 265:13 266:15 267:12 268:4
275:17 280:18 283:15 284:7 285:14 292:4 292:15 293:21 294:16 295:11 295:12 295:17 306:4 309:16
paragraphs pi 231:20
parallel pj
155:8
paralysis pi 280:21
parentheses p] 218:21
parents [i2] 191:21 193:11
193:12 193:13
194:3 194:5 195:4 280:10
191:16 193:11 193:18
194:13
park p] 2:9 219:14
part [30] 43:9
76:6 94:1
102:20 102:21 122:21 123:2
154:14 161:9 193:10 193:17 226:9 229:9 268:21 274:12
288:9 289:17 300:13 314:8 321:8
56:15 94:8 117:20 134:10 191:20 204:20 239:14
281:5 289:19 314:9
partial [2] 120:1
119:16
partially [i] 206:15
participant [i] 249:11
participating pi 335:1
participation p] 253:19
particular [is] 108:21 160:11
166:4 172:11
188:3 199:11 250:15 289:17 302:16 325:16
78:9 165:20
179:11 233:18 301:14
particularly [i] 294:5
parties [2] 340:14
340:13
parts [8] 121:17 125:10 144:2 172:2 205:5 210:20 214:6 305:10
party p] 222:17 224:10
party's [U
51:8
pass [8] 71:4 71:19
72:5 72:21 89:5
91:13 108:16 239:16
passed [3]
70:21
91:4 227:15
passes [i]
123:12
passing m 312:20
73:8
past [5] 5:18 105:14 107:15 174:5 174:13
paste pj 117:2
Paul p] 3:8 4:20
pause [27]
159:19 165:16 187:15 203:5 208:5 225:11
237:13 237:17 252:10 256:12 270:17 273:7 286:21 290:2 305:4 305:8 318:6 338:8
159:3 169:2
208:1 232:6 245:2 266:10 279:10 298:21
308:20
pay p i 325:13
PBp] 218:19
pediatricians [2] 195:7 235:7
Pediatrics pj 192:15 213:18 241:13 249:12 307:20
pending [i] 303:19
Pennsylvania PI 2:12
people [14]
18:13 18:15 66:6 115:17
129:8 192:19 235:15 235:20 291:7
14:11
62:2 125:17 195:6 241:14
per [5] 68:9 68:10 172:2 210:12 212:18
perceived pi 51:12
percent [i2]
84:4 84:14 85:12 218:19 220:12 233:8 284:12 334:7
47:17 85:4
220:7 240:20
percentage m 51:19 320:5 320:13
perfect [ij
87:21
performing p] 291:13
period [20]
21:19 32:18 33:14 40:4
160:15 161:1
172:9 186:15 258:21 259:1 259:4 302:8 324:20
20:1 32:20 125:13 163:21
221:3 259:2 321:14
permanent p] 280:20
permanently [2] 275:10 276:8
permissible pj 296:20
permitting p ] 240:20
person^)
13:21
36:11 36:11 60:3
Evans Reporting Service
220:20
personal [21 28:19 313:3
personally pj 13:17 48:10 340:5
personnel [2] 310:9 312:16
persons [ij 67:3
persuade [i] 287:10
persuading [>] 288:1
pertain pj
29:10
pertained [i] 31:12
peruse p]
113:17
Peter pi 1:13 2:2
phase [i]
158:13
Philip {2i 5:7
2:8
phrase [8]
64:7
78:21 126:18 198:9
199:5 211:6 241:16
253:10
phrased [ij 50:3
physicians pi 259:15 259:16
Picherpi
38:6
pick pi 318:11
picture p]
171:18
pieces pj
115:19
212:8 321:14
pigment pj 38:15 47:14 50:15 68:10' 116:21 131:15
pigments pi 85:11 129:10 132:9 132:11
218:21 323:14
Pintapj2:5
pipes pj
57:4
PL [2j 145:8 214:10
place [8] 101:8 190:2 190:6 197:4 227:4
277:15 294:1 340:6
plaintiff p] 69:10
plaintiff's [sj 58:21 120:19 143:18 147:14 150:12 153:14 214:1
223:5
plaintiffs pi
1:6 2:4
7:20 48:7 162:14
1:3
4:10 149:14
plaintiffs' pj 15:8 59:16 81:15 106:16 116:5 136:12 136:19
plants [i]
295:7
playpj 229:13
played pi
230:1
pockets pj 292:21 293:4 296:11
Pogue [ij
3:2
point [14]
94:7 97:10 159:9 170:17 182:2 197:4
280:16 287:7 312:3
20:11 145:16 182:1
250:13 311:16
pointed [i]
182:9
poison pi]
225:18 240:16 241:20 242:5 280:2 280:11 315:21
133:20 241:3
242:6 280:14
poison-labeling [ij 208:15
poisoned [u] 56:18 66:6 129:9 169:5 172:12 173:6
280:20
56:11 66:10 172:10 174:6
poisoning [12S] 40:3
40:8 40:11 40:17 42:14 42:19 43:5 43:10 43:16 49:8 49:19 56:7 57:2 57:3 59:19 63:4 63:21 65:16 67:7
82:5 91:11 91:18 93:4 95:5 95:11 96:3 98:19 101:15
102:3 102:10 105:9 105:10 105:12 107:9 107:10 107:13 109:12 110:3 110:12 110:15 111:2 118:20 120:8 120:8 123:10 124:20 128:12 133:1 133:17 140:9 140:10 140:19 148:14 149:3 149:9 149:17 151:11 151:17 160:17 161:11 161:16 169:6 170:6 170:17 170:18 172:13 173:7 174:7 175:16 175:17 176:11 177:6 177:12 177:16 178:5 178:12 179:9 179:13 180:21 181:17 185:15 185:17 191:9 193:19 198:17 204:15 205:1 205:12
208:9 211:19 212:5 235:4 235:6 235:12 235:16 235:20 245:10 245:11 256:18 259:19
262:7 262:10 262:19 267:5 267:8 273:11 273:18 274:15 277:14 280:8 281:11 292:18 293:10 294:6 295:15 295:20 296:8 296:14 297:4 303:16 316:9 335:2 337:1 337:15
343:20
policies [i] 78:2
policy pj 32:15 33:8 57:7 57:21 166:12
32:13 33:16 166:1
Pophampj 2:16
Poppe pj 20:4
20:2
popular pj 162:21
162:7
Porter [i]
2:9
portion [3]
78:9
184:18 199:12
poses [l]
292:16
position [i4] 18:2
Evans Reporting Service
Multi-PageTM
18:6 87:19 129:12
175:15 322:6
20:5 87:21 172:13 227:3
20:18 117:15 173:5 310:16
positions [2] 58:6 174:16
possess [i] 204:17
possession [6] 32:12 32:13 96:3 148:12 149:13 161:5
possible [8]
77:15 92:21 210:15 211:7 277:7
66:20 206:7 277:4
possibly pi 171:6 198:11 321:4
potential pj 77:14 133:8 184:16 275:8 295:9 302:10 306:4
potentialities [i] 302:5
Powder pj
314:7
Pratt pj 314:21
precautionary p] 282:16 287:13 343:13
precede pj 184:20
184:11
preceded [l] preceding pi
309:16
precisely m precludes [i] precursor [i]
189:20 150:19
200:7 306:6 190:3
predicted pj 270:12 270:20
prepare pj 15:13 15:16 235:12
270:6
14:15 72:17
prepared [4] 117:3 235:6 245:21 312:15
prerequisite [ij 228:7
present [i4]
23:11 36:10 38:21 155:15 156:6 156:6 228:12 267:2 329:6
17:4
38:7 156:4 196:6
322:5
presentation pj 255:19 256:2 267:11
presented pi 42:12 243:14 259:13 278:20 315:20
presenting pi 235:13 259:15
president [i] 22:14
prestigious [i] 302:19
Preston pj
2:12
presume p] 5:19 174:15 320:17
presumes [i]
pretty [ij
prevent pi 277:3 277:14 296:13 296:14
preventing [ij
65:11 216:2 79:17 296:3
277:4
prevention [4] 79:11 125:2 126:19 128:5
preventive [4j 183:2 185:14 275:5 275:19
previous [8j 78:19 122:11 125:1 133:12
159:16 184:10 271:21 320:8
previously pj 133:12 266:19
primary pi 84:13
84:3
principal pi 238:20 239:11
private PI
158:7
158:19 159:11
privately pj 42:15
problem p3] 63:15 67:14 82:4 98:19 101:15 102:2 129:6
161:11 171:11 191:10 194:18 222:4 225:20 226:13 242:4 273:18
292:16 293:3 294:10 294:11 300:19 320:17
321:9
problems p] 63:14 75:19 91:3 119:10 133:17 193:19 206:6 255:20 295:10
procedure pj 77:20 91:16 99:2 104:3 107:1
proceeding [i] 73:4
proceedings [2) 4:1 340:11
process [2] 253:15
81:6
produce pi 50:10 145:2 256:17
produced ps] 6:4
6:11 7:15 8:12
21:8 27:9 27:12 29:2 29:3 29:5 29:6 29:12 29:18 30:11 31:2 31:4 31:14 31:19 45:13 46:13 48:6 48:7 50:4 50:5 52:13 55:10 62:16 69:5 73:15 80:19 86:21 96:6 96:16 97:3 98:1 98:13 105:1
108:10 113:6 114:13 116:4 116:6 120:21
121:5 137:17 141:12
144:20 149:13 155:13 162:1-3 162:14 162:15 165:10 168:17 187:4
187:18 190:19 196:3
198:15 201:10 207:16 225:5 230:19 231:6 234:18 237:7 243:18 244:4 244:5 244:19 245:5 252:4 256:6 260:2 261:20 261:21 269:20 273:2 279:4 282:20 286:16 289:11 298:8 304:19 308:2 316:5 330:17 336:6
personal - properly
product p6]
49:18 49:21 50:5 50:6 82:16 82:20 117:17 118:1 130:7 131:1 131:13 166:16 277:10 277:12 291:2 291:4
295:8
46:17 50:4
75:13
114:20 118:1 131:11 172:15
290:18 295:4
production m 6:21 29:16 30:9
products [36] 54:15 54:16 56:3 58:2 76:9 76:19 77:16 79:18 80:2 82:8 86:4 123:19 128:17 128:20 129:14 130:1 132:4 166:5 166:15 167:3 170:12 185:16 188:4 189:15 215:5 221:19 270:7 271:1 278:4 278:8 282:17 335:10 335:17 335:18 335:19 343:13
profession p>] 43:11 43:15 44:12 56:8 191:16 193:15 194:14 195:7 295:21
professional [i] 81:12
profits [ij
program pj 112:2 112:5 112:21 157:9 335:8 335:9
293:16
43:10 112:10 158:4
programs pj 23:20
progress pj
prohibited pi projects [4]
22:21 23:5
promise [i]
promising [i]
promote [i]
22:20
73:18 317:3 22:20 23:6 170:9 208:20 117:20
promoted pi 335:9 335:18 336:12
promotion [4] 112:21 114:17 117:21 336:4
promotional [2] 112:2 335:8
promotions [i] 335:17
promulgate [2] 246:17 288:13
promulgated [4] 222:14 224:7 232:9 300:10
promulgates pi 238:18
promulgation m 301:2
promulgations [i] 301:7
proof [l]
proper pj 235:20 235:21
properly [ij
333:17 30:7
21:5
Index Page 17
Hoperties - removing
properties [i] 291:12 quartern]
287:10
proposal [3] 240:15 302:7 305:10
Proposed [i] 252:16
'roprietary pj 256:1
/otect [2] 126:6
126:5
protective pj 191:17
prove pi 162:5
94:14
providers] 70:21 72:8 81:7 90:16 105:21 301:16
quarterly [12] 234:14 251:21 269:17 272:17 286:12 298:4 343:5 343:8 343:10 343:11 343:14 343:16
quarters p] 198:10 198:20 199:7
Queensland [i4] 149:4 149:10 149:18 151:11 151:17 262:10 262:19 263:9 263:18 264:3 264:9 265:15 315:20 316:20
provided [2] 99:11 233:11
providing pi 99:3 104:4 106:17
publiepi]
1:16
27:16 57:8 94:3
117:17 117:21 124:7
124:10 158:7 158:19
159:10 160:17 161:12
161:15 162:8 164:19
192:11 215:2 215:9
215:14 293:11 294:8
294:10 302:7 302:11
302:16 306:14 307:3
336:17 337:7 340:3
publication [4] 54:4 290:11 290:15 336:11
publications pi 202:15
publicity [27] 40:3 67:8 75:11 79:12 9:17 80:2 125:2
125:5 126:19 128:6 128:9 132:5 133:8 166:4 183:1 185:14
191:10 208:10 210:11 212:8 225:21 275:9 275:13 292:6 294:2 294:11 296:12
publicly [l] 58:1
publish pi 107:17
54:6
questioning [i3] 65:20 67:19 71:21 72:2 72:13 72:15 73:4 73:20 88:15 105:20 109:21 181:20 199:11
questions [is] 7:15
10:18 11:2 18:11 49:13 62:3 72:17 90:19 91:14 99:3 104:4 123:9 333:2
338:17 338:18 338:20 339:3 339:9
quick [i]
225:10
quickly [i] 10:5
quite [2] 233:4 301:1
quote [l]
79:8
quoted [l]
126:18
quotes p]
208:12
210:4 228:18
R[i] 2:15
R.J [l] 216:8
R.L [l] 311:6
raise [2] 8:5 199:15
raised [2] 322:15
76:18
range pi
96:16
16:8
ratepj 210:11
rather [ij
207:21
published [4] 55:5 102:16 201:14 202:17
publishing [i] 55:7
pull [ii 127:13
purported p] 327:17 329:10
purporting p] 328:11
purposepn 44:ll 67:3 112:9 112:12 158:10 158:18 159:10 179:7 221:17 271:14
335:1
purposes [4] 5:14 222:14 250:10 289:18
put [18]
192:15 213:7 242:5
60:4 291:10 339:7
64:19 208:12 228:17 242:6 290:13 297:15
87:12 210:4 235:14
254:12
290:16 297:17
qualities pj 123:15
quantities pj 256:16
reached p)
read posj
46:8 46:9 64:7 65:5 67:21 79:9 86:12 86:13 99:15 99:17 105:18 106:20 109:13 121:12 122:17 123:4 123:8 123:16 127:18 129:5 130:4 132:15 138:7 138:8 142:20 144:2 151:8 153:1 162:11 165:14 165:18 165:19 166:20 169:1 180:10 180:12 185:3 185:6 185:10 188:11 191:2 191:3 200:1 201:18 202:2 202:3
222:19
40:1 50:18 66:18 83:14 98:21 100:2 107:6 121:18 123:7 124:3 130:3 138:2 142:7 144:8 162:10 165:15 166:9 175:6 184:17 185:8 189:4 197:21
201:19 203:2
ndex Page 18
Multi-Page TM
203:7 207:20 214:5 218:12 219:1 231:18
231:19 231:20 242:10
242:13 248:18 254:6 267:3 270:15 273:14 273:16 283:4 283:12
283:15 283:20 284:3 284:18 284:19 287:2 295:13 296:9 305:10 318:3 321:6 321:21
322:10 322:13 336:16 339:12 339:13
reading [20] 45:18 64:20 98:16 99:21 107:2 107:5 151:10 154:13 158:21 159:1 159:18 163:3 166:10 184:7 188:5 191:5 242:11 264:8 322:2 322:17
reads [S] 158:4 161:9 182:19 252:15 318:8
ready p]
33:18
90:21 152:14
realpj 193:1
realize p]
really p] 60:21 61:2 171:7 193:7 285:14 307:6
58:10
16:20 142:14 224:12
reams pj 125:2 126:19
reason pi] 81:10 140:12 195:10 232:11 326:11 327:14 328:17
79:11 128:5
27:19 195:3 238:10 328:1
reasonable p]
reasons [S] 133:11 145:13 267:6
Reavis p]
91:12 114:16 146:7
3:2
receive pj 325:9
received pi] 6:17 14:20 133:8 153:21 171:2 173:6 204:16
7:18
6:15 57:2 169:5 174:6
receives pi 123:13
91:19
receiving pj 40:2 75:12 76:8 132:5
recent [i]
recess PI 198:3 272:9
136:18 134:18
reclaimed p] 67:2
recognize poi 26:12 36:1 41:11 45:12 62:15 69:5
26:8 36:4 52:12 113:6
recognized [i] 245:11
recollection p] 289:19
recommendations pj 133:6 271:14
recommends p] 77:5
record [73]
5:9
9:4 21:15 33:8 33:19 33:21 34:2 35:18 41:9 45:9 46:1 46:9 52:7 58:18 68:21 69:9 81:2 81:4 86:13 87:1 87:12 89:4 96:8 97:17 99:10 103:14 106:10 107:7 109:4 111:12 111:14 111:19 113:14 119:5 126:6 126:9 130:4 133:14 135:1 136:14 137:16 166:9 180:12 185:3 185:9 198:2 198:5 199:14 200:1 221:12 243:3 243:6 244:14 250:2 250:17
254:5 255:8 264:20 269:9 272:11 279:11 279:13 282:10 282:12 283:11 284:3 304:12 305:5 305:7 316:17 322:14 323:4 340:11
recorded p] 340:10
records p7] 21:7 21:11 21:20 22:13 23:15 27:7 28:1 28:4 30:11 31:13 32:1 38:17 121:5 134: 10 206:17 221 1 330:16 330 21
21:4 21:18 23:13 27:15 30:11 31:17 121:2 145:3 249:7
refer p4]
26:11
27 3 36:9 39:7
41 13 56:19 83:10
83 14 103:13 112:13
121:14 159:14 165:13
168:20 191:1 197:8
202:12 207:19 213:2
214:10 238:5 257:2
279:18 3188::1
referee p]
167:15
reference pj 67:20
112:4 119:7 129:1 129:7 184:19 226:19
333:19
references p] 95:14
95:16 213:4
referred [7] 77:13
78:19 209:2 262:20
271:19 271:20 317:20
78:10 91:7 130:14 149:2 206:15 210:21 266:4 293:7 323:3
79:13 127:16
139:11 169:9 209:18 211:1 266:4 300:6
77:6 84:2 127:20 146:13 189:4 210:20 263:1 266:7 321:7
refers pj
184:7
265:15 309:17
refiner [ij
37:16
refining [7] 84:3 84:14 157:1 157:4
37:15 139:1 329:19
reflect pj
13:9
66:5 76:17 95:1 106:10 107:7 258:11
reflected p] 132:10 177:15 179:18 191:20 248:16 304:13
132:10 178:4 247:3
reflection pj 77:10
reflects pj
76:6
77:5 77:12
refresh p]
196:10
196:14 324:1
refreshes pj 289:19
refuse pj
72:7
88:7 333:2
refuses pj
81:7
refute [i]
282:2
regard [S]
70:16
106:3 198:11 199:8
267:7
regarding pj 40:3
86:7 337:15
Regardless [i] 277:17
regulation pj 245:20
246:7 247:2 247:13
247:20 248:6
regulations p] 208:16
287:13 288:3 295:3
296:4 296:14 301:2
301:7
regulatory p] 221:16 222:12
related p] 340:14
215:5
relates p]
61:4
70:17 93:13 239:5
297:6
relationship pi 74:11
74:17
relative pj
42:13
270:7 287:13
relevance [ii 104:7
relevancy [i] 239:4
relevant pj 169:14
16:20
relied pj
221:16
223:7 224:6 233:7
233:9 233:19 285:1
relies pj
222:2
rely p] 139:15 222:13 257:5
relying pj
294:15
remain p] 320:10
18:2
remaining [i] 113:15
remains pj
98:19
116:21 320:5
remember ps] 16:5 16:6 126:16 126:20 194:20 245:4 264:12 305:20 320:20 321:2
10:1 122:10 127:3 264:10 319:7
remove pj
170:11
320:8 338:1
removedp] 131:14
removing p] 128:16
Evans Reporting Service
170:10
renal [6] 198:12 199:9 199:17 263:10 263:11 265:16
reopen pi 8:8
7:21
repeal tij
227:20
repeat pi 41:16 63:18 106:7 126:10 163:8 239:8
39:18 75:18 152:13
rephrase [13] 37:5 44:9 126:13 131:6 211:2 211:21 247:18 251:1
11:3 95:1 159:5 222:10 259:21
rephrasing pj 131:8 131:9
report p2j 39:8 39:20 103:15 152:3 177:1 186:19 200:15 207:8 234:14 237:3 251:21 269:17 278:17 280:1 290:1 298:4 343:7 343:8 343:11 343:12 343:16
18:17 100:19 169:16 190:13 224:21 243:12
272:17 286:12 343:5 343:10 343:14
reported pj 18:19 63:5 178:12
1:15 64:1
reporter [i2j 10:8 10:19 46:10 86:14 152:18 157:21 200:2 231:3
4:6 46:6 130:5 180:13
reporting pj
4:7 20:8 20:12
1:19 20:10
reports [6]
65:15
151:11 151:16 168:21
200:21 341:19
represent [4] 70:12 70:15 216:6 311:20
representation [4] 8:4 85:4 85:12 264:21
representations pj 328:12 328:14
representative [2] 40:6 128:14
representatives [2j 229:17 271:13
represented [7] 36:20 84:4 84:14 203:10 209:11 209:16 210:1
representing^! 17:4 36:10 70:8 215:18
represents [i] 36:11
request m 69:9 75:11 142:12 235:5
6:20 91:12 339:3
requesting [1] 66:21
requests m 327:6
require pj
190:1
240:16 241:19
required [2] 334:6
58:3
requirement pj 227:15 270:7 270:21
requirements [2] 33:2 189:9
requires [i]
188:3
requiring pj 188:19
research psj 42:14 42:19 43:9 43:14 56:6 74:4 77:14 94:2 94:12 94:15 100:14 101:8 122:15 124:5 140:15 140:19 177:11 212:13 280:6 280:7 302:8 302:17 307:2 317:13 337:4
7:13 43:5 44:11 77:7 94:4 100:5 121:15 140:10 142:13 212:16 299:8 306:16 336:20
researchers pj 212:9 235:19 275:1
reserve [4] 7:20 8:8
5:20 338:19
reserved pj 250:4 250:13 250:17
reserving [i] 87:14
residential p] 219:15 317:4 332:15 334:6 338:1 338:12
219:13 332:9 336:13
residual m 213:17 226:3 252:21 307:19
resolved pj 167:16
89:17
respect p6] 33:8 67:19 176:7 185:15 224:7 229:20 250:1 265:6 295:11 331:5
33:6 133:1 221:18 241:6 280:13 336:20
respond p] 45:3 65:6 258:6 263:5
18:16 203:3 321:13
response [4] 148:1 193:7 193:8 266:3
responses p) 136:20 327:5
responsibilities p] 18:4 20:21 23:17
responsibility W 18:10 18:16 21:1 21:2 21:6 23:13 73:9 81:12
responsible [4] 139:2 139:3 139:6 296:19
responsive p) 303:21
rest pj 69:13 72:8 93:21 130:15 232:2
restate p] 269:8
178:2
restrict pj
332:8
restricted pi 168:1
Multi-Page
resubmission pj 136:12
result pi] 133:9 148:14 173:7 174:7 181:18 257:12
268:15
67:8 169:6 175:17 263:11
resulted pj
263:10
results 8] 210:17 210:21
211:10 252:18
319:11
181:15 211:9 280:7
retained pj 33:2
6:13
retardation p] 148:13
retarded pj 276:9
275:10
retention [4] 32:15 33:8
32:13 33:15
reveal p] 260:3
8:1
review [85] 7:21 8:6
38:17 38:20 47:4 48:5 51:3 59:14 60:11 61:4 69:4 70:9 71:1 72:2
83:20 86:1 89:19 90:11 94:20 94:21 95:9 96:21 101:13 104:5 110:6 111:17 116:3 117:18 148:5 148:11 149:15 149:17 152:1 153:19 159:7 160:5 161:13 162:13 176:8 181:12 189:7 191:19 199:4 206:9 223:3 224:2 253:5 253:18 257:7 260:2 270:10 270:19 273:21 281:12 293:2 294:14
7:7 38:4
40:5 48:15 60:2
61:7 70:10 75:14
86:20 92:1 95:3 99:8 106:1 114:10 128:14 149:12
151:16 158:16 160:13 163:16 188:21 198:19 222:19 249:7 255:19 260:21 273:6 284:21 306:21
reviewed psj 48:13 49:3 54:12 58:9 116:7 116:8 121:7 163:11 310:8 326:16
14:19 51:16 116:5 116:11 169:18
reviewing p] 46:7 83:13 219:4
revised pj
26:21
308:15 309:4
revision [2j 308:12
308:8
Reynolds pj 217:9
Richards [i] 3:9
Richardson [455]
2:2 4:10 4:11 6:2 6:8 7:10 7:14 7:18 8:21 13:6 16:14 16:17 24:20 24:21 25:9
Evans Reporting Service
25:12 26:18 27:2 27:11 27:13 28:20 29:14 29:20 30:10 30:19 30:21 32:2 32:6 32:10 33:19 34:3 35:13 35:16 37:10 38:9 41:2 41:5 42:6 42:7 43:21 44:2 45:6 45:7 45:17 45:21 46:12 50:2 50:7
52:4 53:11 53:15 58:12 58:15 60:1
60:9 60:17 61:11 61:17 61:19 62:4
62:7 63:11 63:13 63:17 65:17 65:21 66:7 68:2 68:13 68:16 68:19 69:3 69:14 70:2 70:5 70:7 70:12 71:3 71:8 71:11 71:15 71:16 72:1 72:8 72:10 72:13 73:2 73:10 73:11 75:19 76:4 78:11 78:13 78:15 80:12 81:6 81:9 81:17 81:19 81:20 82:7 82:12 83:1 83:7 83:9 83:16 83:18 84:7 84:8 86:11 86:15 86:19 87:8 87:10 87:20 88:5 88:11 88:18 88:21 89:7 89:14 89:20 90:3 90:4 90:7 90:13 90:18 91:2 91:6 91:13 91:17 92:15 92:16 94:13 94:18 94:19 95:7 95:8 96:7 96:14 96:18 97:1 97:11 97:14 98:7 98:10 98:11 99:10 99:16 100:1 100:20 101:6 101:10 101:12 102:1 103:9 103:12 104:16 106:6 106:14 106:19 107:4 107:8 107:21 108:3 108:20 109:2 111:11 111:20 112:17 113:14 113:19 114:3 114:6 114:9 115:4 115:6 115:20 116:1 119:21 120:3 120:10 120:13 121:1 121:4 121:9 121:11 121:14 121:19 123:1 123:6 125:7 125:19 126:2 127:9 127:12 127:15 129:2 129:19 131:5 131:12 131:19 131:21 132:13 134:12 134:15 135:3 135:19 135:21 136:4 136:8 136:10 136:14 136:19 137:1 137:5 138:9 138:11 138:16 138:19 139:14 141:2 141:5 141:21 142:3 142:21 143:2 143:12 144:7 144:11 144:13 145:4 145:5 147:8 148:17 150:6 152:19
renal - Richfield
153:5 155:1 157:12 157:15 157:19 158:2 163:5 163:6 164:21 165:3 165:17 167:10 168:9 169:10 169:13 169:18 173:13 173:18 173:21 174:2 174:11 174:21 175:11 176:13 177:19 178:9 178:13 178:16 178:19 179:2 179:16 180:6 180:8 180:16 181:7 181:10 182:11 182:17 183:7 183:11 183:16 183:20 184:3 184:14 185:1 185:5 185:20 186:9 186:11 186:17 187:7 187:16 190:10 194:20 195:11 197:11 197:18 198:6 200:12 203:4 203:6 203:21 204:5 204:7 205:7 205:9 207:2 207:5 208:3 208:4 209:19 211:2 211:4 213:12 215:15 215:16 217:17 219:10 219:12 219:15 220:14 220:15 221:2 221:6 221:13 222:3 222:6 223:12 223:14 224:15 224:18 225:12 228:4 228:10 228:14 228:16 230:12 232:1 232:5 232:7 234:4 234:11 236:18 236:21 237:18 243:1 243:9 244:11 244:15 244:18 245:3 246:12 247:8 248:15 249:20 250:8 250:19 251:4 251:18 252:11 254:9 254:17 255:2 255:5 255:10 255:13 257:2 257:4 257:19 258:18 259:10 259:17 260:11 261:3 261:13 261:17 261:21 262:4
262:5 262:15 262:17 263:1 263:21 265:2 265:4 265:5 265:11 265:18 265:21 266:6 266:9 266:13 267:18 269:5 269:14 270:16 272:5 272:8 272:14 274:19 278:14 279:14 282:4 282:8 282:13 284:2 284:6 286:1 286:9 287:1 288:18 288:21 289:21 291:20 291:21 293:8 298:1 298:14 299:1 303:5 304:3 305:11 305:13 307:11 307:14 315:15 316:18 318:7 318:18 319:4 321:15 321:20 322:17 323:1 323:8 324:5 324:10 328:4 328:6 328:13 328:16 330:8 330:11 330:19 331:1 331:4 332:19 333:1 333:5 333:12 335:5 338:7 338:9 338:16 338:21 339:5 339:10 341:4
Richfield p] 2:10
Index Page 19
ridiculous - sitting
5:8
ridiculous m 57:11
right [o]
7:20
8:8 10:16 11:8 '5:10 17:11 17:14
2:1 23:12 26:4
28:20 33:12 33:17
38:9 38:10 42:11
50:12 55:6 60:18
70:6 71:5 72:14
72:16 73:17 79:4
79:15 83:10 86:9 90:11 93:15 99:12
101:2 102:1 102:13
109:10 109:13 109:15
110:21 111:7 .112:14
113:19 118:8 122:3
124:4 132:17 133:15 141:17 142:21 153:6
159:21 160:10 172:8
173:1 176:21 180:19
184:1 194:2 197:19 200:9 206:4 206:21
212:15 214:16 215:15 234:4 235:14 241:19 243:4 245:4 253:14
254:4 254:11 260:1 263:8 267:10 275:2 276:16 276:18 284:3
285:7 288:7 288:16 299:2 311:11 326:4
329:13 330:11 335:15 337:6 338:19
right-hand m 308:11
Ring [2] 312:9 312:11
rsks m 82:17
oadp] 1:20
Robert pj
58:20
143:15 276:18
Rockefeller pj 316:1 316:10
role pi 229:13 230:2
Rollins m
3:9
Ron [ij 45:15
Ronald pi 4:11
2:2
roofing pi
23:3
room p] 69:13 73:1 135:12
routinely m 212:21
rule m 135:18 135:18 135:20 136:2
ruled pj 82:15 82:16 82:19
rules [4i 10:4 135:14 249:21 250:9
run pj 3:13 5:6 89:2 191:13 192:20
244:9 244:13
S[2] 2:18 3:11
S-c-h-a-e-f-e-r pj 153:12
S-p-a-r-r-epj 315:6
d[i] 294:7
safep] 203:12 203:16 209:12 210:4 335:11 335:19
safest (l]
77:20
index Page 20
safety [ii]
157:8
158:4 158:6 164:11
168:13 243:12 252:15
278:17 278:19 343:7
343:12
sale [6] 48:16 49:17 51:5 51:12 306:6 323:13
sales [i] 293:13
Samuel [i]
250:16
sandbagging m 81:14
Sanitary m 57:1
Santiago pj 9:20 175:2 317:21
Sapolix [21 311:19
216:8
satisfactory pj 8:13 146:11
save [6] 6:11 79:11 125:2 126:19 128:5 133:14
saw p] 51:5 164:3 261:17
says [60] 27:17 28:1 36:19 47:18 48:1 50:13 51:17 63:2 63:10 64:3 67:10
67:11 77:19 79:1 79:3 85:3 92:18 92:20 100:4 107:7
107:9 109:12 110:15 110:16 115:10 147:3
153:1 153:3 156:1 162:4 166:8 167:20 168:4 176:21 185:19 185:21 204:5 204:11 206:3 206:4 209:8
229:5 229:9 233:17 235:3 238:16 245:16 248:20 257:3 267:4 274:6 275:4 275:6
275:18 285:16 291:9 292:15 295:2 300:12 312:14
Schaefer pj 153:11 155:16 342:11
Schnobrich m 2:16
School [17]
12:3 12:5 75:4 100:5 100:16 110:18 164:19 302:6 302:16 302:21 307:3
12:3 12:10 100:9
124:15 302:11
306:14
schools HI
206:5
Schumann pi 3:10
4:21
science 12] 117:1
12:17
scientific [9] 92:21 93:3 95:4 95:10 302:6 302:10 336:21 337:8 337:14
scope pj 221:8
93:14
scrap [ij
66:20
scrapec m
320:7
Multi-PageTM
sep] 68:9 68:10 seal [i] 340:16
search m
124:2
second [22] 33:20 46:5 99:17 100:2 100:4 123:4 123:8 127:17 129:11 138:5 138:14 138:16 141:17 149:8 215:19 244:2
245:17 267:12 282:9 283:15 287:21 323:6
secondly pj 65:10 278:3 295:2
secretary p9] 20:16 20:21 21:2 22:3 22:15 41:15 41:19 42:12 56:21 58:19 59:17 62:11 113:2 137:10 143:15 158:11 190:13 200:15 200:21
205:18 206:1 207:8 224:21 226:1 234:14 234:15 251:21 269:17 272:17 276:15 286:12
289:3 294:15 298:5 304:6 305:21 311:8 312:17 341:19
secretary's pj 39:8 39:20 103:15
Secretary/[i] 237:3
section [26] 28:12 39:9 39:21 56:20 109:3 121:15 121:16 142:8 158:21 169:1 191:3 191:6 202:6 202:11 202:15 203:3 207:20 208:8 212:1 214:11 240:14 270:15 271:11 273:12 295:13 322:17
sectional pj 310:7
sections pj 191:4
secure p]
246:6
247:1 248:5
secured m 245:20
247:13 247:20 248:1 248:2
see [75j 20:7 21:4 23:20 45:12 54:9 64:21 86:20 87:17 88:4 91:8 105:5 105:17 109:1 109:8 118:7 120:9 121:7 136:4 141:11 141:20
149:10 149:11 149:21 150:13 151:8 153:8 154:2 163:17 164:2
183:3 183:9 183:11 187:2 190:7 197:1
197:2 197:12 201:20 202:4 212:1 215:17 216:1 235:9 235:10 237:12 241:14 258:19 259:3 259:11 260:12 260:16 260:20 268:3 268:7 271:17 271:18 273:12 274:10 284:16
289:8 289:10 292:8 292:9 294:3 294:4
294:20 306:19 309:18 309:21 311:19 312:1
312:2 321:1 321:15 323:18
seeing pj
122:2
187:21 283:19 289:19
300:16 305:20
seek [i] 168:4
Seeking p] 42:4
seem pj 47:15 66:16 142:2 244:13 275:7
seemingly p] 226:13
segment [ij 221:21
selected [i] 6:19
selling P] 215:4
37:18
sells [i] 285:17
send [i] 244:7
senior [i]
17:17
sense [i]
186:4
sent p] 42:1 62:20 205:16 205:16 205:17 212:21
sentence psj 50:12 50:13 50:17 50:18
63:20 64:6 64:8 66:15 79:7 79:9
99:14 99:17 99:18 100:2 100:4 122:17 123:7 123:8 127:18 128:2 128:3 132:15 149:8 182:19 184:7 185:10 211:6 296:18
sentences pj 184:11 271:21
September [is] 41:10
41:14 41:17 52:8 53:4 55:8 56:9 62:13 63:4 63:21 69:1 74:5 76:2 76:3 271:13
sequence p] 142:2
series pj 240:1
184:19
serious W
48:1
123:11 124:20 128:13
serve pj229:1
served [3]
226:1
312:18 313:9
Service pj
1:19
4:7 124:7 124:11
192:11
Service-Free p] 289:7
services pi 18:7 18:9 18:18 18:21 19:16 20:6 240:21
session [3]
29:16
134:20 211:17
set [6] 55:13 114:4 233:7 244:8 284:11
340:6
setting pj
115:16
199:19 221:18 222:14
299:13 299:17
seven pj
33:3
several [12] 42:14
55:10 74:12 100:11 128:21 142:1 213:4
275:1 292:19 302:6 306:7 327:6
shadow [i]
267:5
shadows pj 266:16
shall p] 28:1 218:17 255:10
shed [4] 60:12 61:7 61:16 61:18
Sherwin pj 214:1
5:3
Sherwin-Williams pj 3:4 3:7 5:2 217:12 313:17 331:20 332:3
shifted [i]
18:10
shipping [i] 212:8
short pj 272:5
shortly [i]
303:13
showp9j
13:7
26:4 35:17 92:2
103:7 105:7 108:13
109:3 113:10 122:16
122:17 127:1 138:10
142:4 149:15 157:20
175:4 194:4 247:11
249:19 260:17 265:12
266:16 267:5 317:18
326:5 327:20 328:2
332:17
showed pj
170:9
181:16 267:11
showing [42]
52:5 58:16 80:13 97:15 108:4 112:18 137:6 141:6 147:9 150:7 155:2 165:4
186:18 190:11 200:13 207:6 224:19 230:13 237:1 243:10 266:14 269:15 278:15 282:14
289:1 298:2 307:15 315:16
45:8 62:8 104:17 120:14
143:13 152:15 168:10 195:18 213:13 234:12
251:19 272:15 286:10 304:4
shown [6j
68:20
136:11 153:6 181:12
253:1 266:16
shows p]
42:10
66:9 85:14
sidep] 157:16
sign p] 339:12 339:13
signature p] 62:12
silk [i] 78:1
similar [i]
321:17
Simple [i]
328:20
simply pi] 49:8 80:18 89:17 137:12 239:2 239:9
254:17
39:1
83:19 202:15 254:16
single pj 242:5
70:8
sit [4] 87:17 175:6 175:14 213:5
sitting (i)
90:10
Evans Reporting Service
situation [9] 50:16
57:15 64:10 105:10
105:15 107:10 107:15 191:14 194:17
Six [2] 17:1 48:3
size [ij 50:13
Skallerud[ii] 4:18 4:18 221:8 318:15 322:11 322:14 323:4
2:15 5:16 318:20 322:20
skip [ij 50:18
skips [i] 50:17
slums m 294:10
273:19
Smalkin p] 3:9
small [3]
94:7
184:17 273:18
smelterer[2] 37:16 51:13
smelterers [i] 51:5
smeltering [ij 39:2
smelters p] 51:1
smelting m 37:15 84:3 84:13 138:21
157:1 157:4 329:19
Smith [89]
1:10
1:11 4:3 8:16
9:5 13:4 25:10
29:1 34:4 35:14
35:17 41:3 41:6
44:21 52:2 58:13
62:5 68:17 73:12
79:16 80:10 86:17
91:5 97:12 101:14
103:10 104:14 108:1
111:21 112:15 120:11
126:5 135:4 137:3
137:6 141:3 143:10
143:13 144:1 144:20
147:6 147:9 150:4
150:7 152:8 153:20
154:20 159:21 165:1
168:7 168:10 169:20
175:1 186:12 190:8
195:14 198:7 200:10
207:3 213:10 221:14
224:16 224:19 230:10
234:9 236:19 243:7
251:16 255:7 255:11
266:19 269:12 272:12
278:12 282:6 283:19
286:7 288:19 297:20
304:1 305:9 307:12
315:13 338:10 339:15
341:1 341:5 342:2
343:2
society [2] 221:21
57:1
SOlC[l] 117:2
solids m 309:15
218:20
solubles [i] 319:12
solve [3] 67:15 194:18 277:2
someone m 5:11 13:17 76:14 219:5
290:14
Someplace [i] 280:16
sometime [2] 162:5 202:17
Sometimes (i) 182:15
soon [2] 72:4 90:20
sorry [45]
6:5
6:9 7:12 21:15
22:8 26:3 26:18
40:19 41:16 61:1
64:20 75:18 79:4
86:10 88:16 92:17
102:19 109:8 126:4
129:2 130:15 144:14
149:5 157:13 160:18
163:4 163:9 166:9
173:11 173:13 174:11
182:21 183:2 197:14
208:2 227:12 230:21
231:17 258:10 271:8
271:10 278:19 298:14
306:12 330:8
sort [6] 18:12 21:3 23:4 81:10 119:11 199:13
sounds [i]
29:14
source w
78:4
208:10 225:21 275:8
sources [i]
175:19
South [i]
2:16
Southwest [ij 1:20
space [i]
292:5
Spahr[i]
2:19
Sparre [i]
315:6
speak [7]
15:12
15:15 93:12 96:8
167:13 255:8 258:5
speaking [S] 82:13 132:14 249:20 250:20 251:1
speaks [20]
28:18
47:20 65:10 92:7
92:19 111:5 115:3
117:10 118:4 151:19
166:7 167:9 167:12
167:21 188:7 199:1
245:15 253:12 254:3
294:21
specialists [2] 4:9 233:18
specific [20] 30:17 44:4
65:6 100:18 174:3 191:20 204:3 206:11 327:9 334:2 334:8 334:12 335:13
29:17 54:18 130:11 193:10 213:1
334:3 334:17
specifically [i3]
31:6 32:1 32:4 84:2 97:20 98:2
103:13 121:14 203:1 214:11 288:2 298:18
318:1
specification [2] 252:20 343:18
specifications [6] 213:16 218:11 307:18 309:8 309:19 342:20
specifics [i] 203:3
Evans Reporting Service
Multi-PageTM
specified pj 65:15
specify pj
speculate poj 57:20 76:13 79:21 132:2 223:18 224:1
250:6
29:19 79:20 189:19 224:14
speculating [i] 271:6
speculation pi]
56:15 132:12 189:17
199:13 220:19 229:4 239:14 246:11 268:20 271:4 277:19
speculative p] 77:3
spelled pi spelling [i]
315:5 216:21
spend [i]
114:8
spoke [i]
176:3
spokesman p] 125:15 sponsor [i] 249:8
sponsored [g] 213:18 235:15 241:13 246:1 249:1 249:12 307:20 316:12
sponsoring pi 100:10 100:14 203:10 204:11 205:4
Square m
3:3
St [12] 37:6 52:21 156:19 329:11
36:20 37:11 138:20 278:21
37:4 37:12 139:21
329:5
staff [4] 158:12 236:2 236:6 236:6
stage p 235:18
stamp [i3]
36:6
52:9 62:14 87:4
87:5 87:8 103:17
109:4 120:18 122:3 143:17 195:21 214:2
stamped [37] 69:2
80:17 97:19 104:21 108:9 113:4 137:13 141:10 147:14 150:11
153:13 155:7 165:8 168:15 186:21 190:16 200:19 207:10 213:21
225:2 230:17 234:16
237:6 243:16 252:2
255:18 269:19 272:19
279:2 279:18 282:18 286:14 289:5 298:6
304:17 308:1 316:2
stand [i]
7:11
standard [34] 190:1
214:8 214:13 223:7 224:5 226:2 226:6 226:9 229:8 229:10 232:9 232:14 233:7 233:9 233:10 233:18 239:6 239:17 240:9 240:20 241:6 241:12 242:4 242:16 246:6 246:16 246:21 248:4 288:9 307:18 308:8 309:4 310:8 312:15
standards [39] 203:11 203:12 203:15 209:9
209:12 213:16 214:9 221:15 221:18 222:12 222:14 224:7 231:12
234:6 238:19 239:11 240:19 242:15 245:21
246:1 246:5 246:15 247:14 247:21 248:21
249:17 251:9 251:13 252:20 271:15 296:1
299:12 300:7 300:10
300:16 300:21 301:13 342:20 343:18
standpoint [3] 118:12 163:20 218:14
startpj 33:12 223:19 323:4
started [S]
6:6
83:13 162:4 162:17
170:4
starters p]
278:7
starts [i]
318:10
state [35j
9:3
24:6 35:4 59:16
81:5 89:11 92:11
104:11 118:13 129:3
133:13 133:16 142:11
143:3 165:21 179:10
188:2 188:3 188:10
188:18 193:9 211:14
221:17 222:13 223:7
224:6 233:16 238:7
281:10 293:21 302:4
306:3 332:12 340:1
340:4
statement [3i] 6:3
87:12 115:8 115:15 116:13 127:7 130:9
140:13 160:11 160:14 160:20 162:21 163:11
163:18 166:1 166:12
197:17 249:3 277:20 280:17 280:19 281:3
281:13 285:19 299:16 326:12 328:8 328:18 329:4 329:18 331:7
statements m 168:1 294:16
states [58]
40:1
41:21 43:9 54:3
56:21 63:20 64:11
82:2 84:3 84:19
91:19 104:2 105:9
110:4 114:16 116:13
116:20 117:14 118:10
122:15 128:12 140:9
142:16 145:11 146:7
148:2 151:10 157:4
188:13 188:18 189:10
189:13 191:8 198:10
203:9 208:8 212:2
214:11 225:18 239:21
240:2 240:14 245:10
245:19 266:15 268:21
271:11 284:7 287:9
290:4 291:6 292:3
296:10 299:11 306:13
308:12 310:7 336:6
stating p]
119:21
259:8 318:21
statistics p] 155:9
staying pj
320:13
situation - subscribe
stenographically [ij 340:10
step [i] 226:11
steps p 193:4
Still [18] 20:8 22:13 23:13 89:7 98:19 205:20 208:21 222:20 226:21 299:7 306:1
331:16
22:6 56:16 130:21 219:16 260:14
326:20
stipulate [2] 6:12 7:1
stipulation p] 6:6
stipulations p] 5:18
stirring [i] 57:5
Stop [5] 10:11 49:9 73:4 145:14 301:3
stopped [i] 145:17
storage [2] 82:6
66:20
story p] 136:7 169:21 173:16
straight p] 69:17
strain p]
281:2
street pi]
2:3 2:6 2:19 3:3
3:9 3:12 22:4
1:14
2:16 3:6 18:1
strenuously pj 81:9
strike [ii] 37:5 67:17
95:1 119:15 149:1 202:13 303:18
5:19 77:2
127:6
293:1
strong m 282:5
282:4
structure p] 24:19
studies [i2] 192:17 193:13 262:6 262:9 263:9 264:3 275:18 335:1
170:14 194:14
262:18 268:9
study m
206:6
263:17 264:8 267:20
268:1 275:5 299:6
subcommittee [10] 214:12 226:2 229:1 238:17 239:3 239:10 284:9 285:2 312:15
312:19
subject [i6] 56:7 57:5 92:3 93:3
95:11 98:18 123:11 124:21 191:12 262:7
50:21
91:19 95:5
118:11 128:13 335:2
subjected pi 295:3
subjects [i] 267:14
submission p] 136:18
submit [i]
302:7
submitted pi 240:2 240:4 328:3
subpart p] 309:17
subscribe pj 324:16
Index Page 21
subscribed - thought
subscribed [i] 325:4
substance ii] 16:15
substances [2] 299:14 299:18
\bstantial [i] 94:1
jbstitute [2] 46:20 47:6
substitution [2|48:l 48:2
successful p] 288:1
SUCh [36]
10:20
15:7 33:4 39:13
40:8 40:16 49:7
58:8 97:9 97:9
102:6 133:17 136:2
146:8 148:20 162:16
162:19 167:15 181:21
181:21 195:6 206:17
218:15 238:18 238:21
241:2 244:16 260:12
260:20 275:8 287:11
287:14 300:7 316:13
335:14 336:4
suffered pj 275:14
sufficient pj 57:5
suggest pj
30:13
63:3 78:3 83:21
96:20 116:12 130:20
273:17 296:10
suggested [4] 47:16 66:19 77:20 158^
suggesting pj 277:12 333:2
uggests pi 63:16 38:20 276:7
suit [i] 323:11
suitable pj 218:14
suited [i]
306:15
suits pj 9:12
Sullivan [53j 2:5 2:5 4:12 5:9 6:10 7:12
8:13 14:9 16:12 16:16 21:13 24:17 25:21 26:2 27:8 28:8
29:11 29:15 30:14 31:5 32:4 32:8 34:6 34:10 34:19 35:11
37:8 38:7
39:3 39:16 40:18 42:5
43:17 44:4
44:14 45:2
46:21 47:2
47:19 48:9 49:2 49:10 49:14 49:20 51:7 51:15 53:9 54:17 '6:12 57:10 ,8:4 59:6 60:5 60:10 61:9 61:12
62:3 63:1
2:5 4:12
5:17 7:17 16:4
16:19 25:14 26:12 28:17 30:6 31:21
33:9 34:14 36:14 38:13 40:9 43:6 44:7
46:1
47:9
48:18 49:12 50:3 53:5 54:21
57:14
59:20 60:15
61:13 63:9
63:12 64:19 65:3
65:5 66:4 66:12
71:19 72:4 73:2
73:18 75:1 75:7 75:16 76:2 76:12
76:21 77:9 77:18
78:6 79:19 80:3
80:7 83:12 84:5
84:12 84:16 85:1
85:5 85:8 85:15
85:19 86:5 91:1
91:3 91:10 91:14
92:5 92:7 93:8
93:10 94:16 95:6
95:19 96:5 96:8
96:14 96:20 98:9 99:12 99:19 99:21
100:18 101:18 101:20 102:2 102:19 103:5
104:9 107:5 107:18 107:20 108:15 108:21
109:16 110:9 110:14 111:4 111:9 111:15
112:3 112:11 113:12
115:2 115:16 116:8
116:16 117:8 118:2
118:15 119:1 119:15 120:2 120:20 121:2
121:6 121:12 121:17 122:14 122:20 123:3
124:3 124:12 125:6
125:9 126:21 127:6
127:20 128:11 128:18 128:21 129:5 130:2 130:6 131:2 131:7 131:14 132:7 133:10 133:13 134:14 134:17 135:7 136:5 137:16 138:5 138:14 138:18 139:8 139:10 140:2 140:6 141:15 141:19 142:1 142:18 143:1 144:1 144:9 145:2 145:19 146:15 148:9 148:15 148:19 150:21 151:7 151:18 152:4
152:10 152:21 153:15 154:1 154:13 155:20 156:10 156:14 157:14
157:17 158:1 158:20 159:4 159:12 160:3
160:8 161:3 161:17 161:21 162:9 162:18 163:3 163:8 163:14
163:19 166:6 167:7
167:19 169:8 169:11
169:16 169:20 172:16
173:9 173:12 173:15 173:19 174:9 174:11 174:15 174:19 175:9
175:13 176:6 176:12
177:17 178:1 178:8
178:11 178:14 178:18 178:21 179:14 180:2 180:10 180:14 181:3 182:5 182:14 184:5
184:16 185:2 185:8 185:18 186:3 186:7 187:6 187:9 187:10 187:12 188:6 189:11 192:4 193:20 194:16 195:17 196:13 196:17
197:10 197:16 198:21 199:6 199:15 200:3
index Page 22
Multi-PageT
201:3 201:5 202:1 202:8 203:2 203:19 204:2 205:3 206:14 208:2 208:13 209:4 209:17 210:5 210:8 210:19 211:12 211:20 214:4 215:6 215:10 215:13 215:20 216:3 216:20 217:16 217:21
218:9 219:7 219:11 219:14 220:11 220:18 221:4 221:20 222:5
222:8 222:15 223:10 223:13 223:17 224:8 224:14 225:7 226:18 227:10 228:1 228:3
228:5 228:12 228:19
229:15 230:8 231:2 231:5 231:20 232:3 232:11 232:18 232:20 233:2 233:12 234:2
234:5 236:8 239:4 239:13 240:11 241:8 241:10 242:19 244:2 244:8 244:12 245:14 246:10 247:6 247:10 247:16 248:9 248:18 249:5 249:9 249:18 250:7 250:15 250:21 251:12 253:11 253:21 254:5 254:11 254:18 255:1 255:8 256:13 257:1 257:9 257:18 258:4 258:15 258:21 259:9 259:12 260:7 261:2 261:5 262:11 262:13 262:20 263:4 263:13 264:2 264:18 265:14 266:2 266:11 266:18 267:3 267:16 267:21 268:19 269:2 269:7 270:14 271:3 271:7 272:7 274:2 274:18 275:16 276:11
277:6 277:9 277:16 277:18 280:4 280:15 281:7 281:14 282:1
282:3 283:8 283:10 283:18 284:4 284:18 285:4 285:8 285:20 287:19 288:4 289:17 291:17 291:19 292:12 293:6 293:15 293:19 294:19 296:15 297:5 297:16 299:20 301:8 302:3 302:13 303:4 303:10 305:9 306:10 307:9 311:15 313:2 317:5 317:7 318:9 319:13 319:15 320:1 320:14 321:8 321:16 322:12 323:15 323:17 324:3 324:9 324:18 325:6 325:17 325:21 326:19 327:16 328:2 328:9 328:13 328:14 328:21 329:8 329:21 330:14 330:16 330:20 331:14 331:17 332:1
332:10 332:16 332:20 333:4 333:10 333:13
334:1 334:8 334:16
335:3 335:12 335:20 336:8 336:15 336:19
337:3 337:10 337:16 337:18 338:5 338:14
339:13
Sullivan's [3] 16:2 16:11 55:17
SUB) [2] 158:9 158:18
summarized pj 114:18
sununaryii) 315:18
supplemental [i] 136:19
supplied [2] 100:6 233:21
Support [7] 44:12
160:13 160:20 229:7 270:11 282:2 299:16
supported pj 42:15 140:10 162:21 163:11 227:9 333:16
supporting pj 112:20
supports [2] 57:16 333:20
suppose [l] 62:1
supposed [i] 135:15
surface [9]
213:17
219:5 219:8 219:10
226:3 252:21 307:19
320:7 320:7
surfaces [4] 226:7 322:8 336:14 338:12
surrounding [i]231:21
surviving pj 275:9 276:8
suspected pj 258:12 260:17
sweep pi
271:2
sweeping pj 270:8
swornpj 340:7
8:17
symbol p]
218:18
symptom [i] 198:17
systems pj 199:9
198:13
Tpj 2:15
table p] 113:16 136:15 283:17
taking [7]
94:8
101:8 144:6 216:20
292:20 293:4 297:2
talks [6] 55:2 56:6 65:13 204:14 212:13 259:18
tape [i] 111:13
task pi 337:13
Taylorp]
2:12
technical po] 18:6 18:8 18:18 18:20 19:16 20:6
17:15 18:11 19:6 220:20
telling [4]
129:13
130:18 242:9 261:8
tendency pj 198:10 198:20 199:6
tendered [soj 26:9 36:2 52:10 59:3
13:14 45:14 62:17
69:7 104:1 108:14 122:1
142:9 152:17 168:18 190:20 207:13 230:20 243:20 270:1 283:1
298:9 316:6
80:20 105:3 113:8 137:15 147:17 155:10 175:8 196:4
214:3 234:20 252:6 272:21 286:17 304:15
98:4
108:11 113:11 141:13 150:16 165:11 187:5 201:2
225:6 237:9 256:7
279:5 289:9 308:4
term [6j 34:12 34:18 35:3 110:8 274:17 309:17
terms pj
82:17
terribly pi
126:7
testified [9] 8:19 145:15 174:4 174:12 194:16 266:18 266:19 313:5 325:10
testify [io]
13:18 29:13 30:18 48:19 118:7 136:9
8:17
29:18 118:4
184:14
testifying t3j 30:20 32:7 313:4
testimony p4] 48:15
97:2 130:18 131:3
131:18 134:2 135:5 135:15 145:20 194:21 250:14 317:19 317:20
321:11
testing [i]
235:21
textp] 93:21
thank p7j
8:13
10:16 46*3 46:11
64:4 67:12 72:5
75:17 78:14 79:15
85:20 98:S 104:13
111:7 111:15 111:16
124:9 128:7 134:17
136:21 150:3 168:6
175:21 187:9 187:14
190:7 195:12 201:9
206:20 230:4 234:8
236:16 239:20 248:20
264:5 297:19 339:10
themselves pj 296:7
thereabouts p] 265:6 288:8
thereafter [i] 303:13
therefore pj 66:19 106:4 119:6
Thereupon pj 339:16
thinking [i] 161:10
third [7j 51:8 161:8 222:16 224:10 231:14
261:9 292:3
thirdly pi
65:13
Thomas [2] 4:14
2:11
thoroughly pj 78:1
thought [4j 42:6 194:11 195:3 298:14
Evans Reporting Service
thousands [2j 278:7 294:1
threat [ij
292:18
Threats [ij 208:15
three [isj
33:5
49:13 52:17 52:21
53:2 53:3 64:5
66:15 125:10 194:11
274:9 310:21 311:2
312:3 313:6
three-yearni 302:8
threw [ij
69:18
through [isj 67:5 78:1 89:5 144:2 170:15 176:15 182:14 192:17 193:3 205:4 240:18 259:18 276:19 292:4 305:2 305:10 327:7 333:18
throughout [4] 35:8 160:21 276:5 299:21
times [7]
16:10
16:17 16:19 17:1
28:2 169:14 174:17
tinypj 172:3
titanium [ij 323:13
titanium-based pj 146:9 146:14
title [5] 17:11 17:13 23:8 54:7 289:10
today [i9]
5:13
8:2 8:3 8:6
10:14 55:14 114:20
115:11 117:1 130:8
132:21 135:5 145:11
175:6 175:14 201:4
213:5 291:13 294:6
today's pj 175:10
togetherpj 251:8
192:15
tonnage [i] 115:12
too [5] 126:17 144:5 171:2 171:3 266:12
took [4] 90:5 125:17 190:2 197:4
top [ill 27:4 137:12 138:6 138:7 138:12 217:4 235:19 238:16 290:4 308:11 326:7
topic [l] 57:3
total [4] 94:8 218:19
230:6 239:14
totally pj
30:4
68:13 129:17 131:3
303:21
towards pj 43:12
226:11 271:12
Towsonpj 2:13
toxic pj 34:5
34:8 34:9 35:10 35:10 226:7
34:7 34:11
123:15
toxicity [4j 292:15 293:4 299:6 306:5
toy [3] 145:21 170:10 314:16
toys [li] 102:6 119:10
119:17 133:18 134:8 203:13 203:17 204:2 204:6 209:13 218:15
traced m
82:5
track rij 41:8
trade [] 114:17 122:4 122:6 324:7 324:12 324:13
transcript [4] 175:1 175:8 318:8 340:10
travel [1]
22:19
Treasurer pj 237:4
Treasurers pj 341:19
trend [i] 230:6
trialp] 5:21 250:18
tried [2] 30:3 87:17
trip[i] 110:1
trouble [4]
64:10
64:15 171:7 327:18
troublesome [4] 123:11 124:20 128:13 191:10
trucks [l]
23:2
true [76] 7:2 7:8
34:4 35:6 35:9 40:15 41:14 41:18 42:8 44:10 50:19 54:20 55:11 56:9 57:6 57:19 57:21 63:19 74:3 74:7 74:10 76:5 77:4 77:12 79:16 98:12 102:15 103:2 103:20
106:12 106:13 110:11 115:21 124:10 146:6
159:21 167:18 169:4 172:12 174:4 174:12
183:13 185:13 205:20 215:8 220:8 220:17 221:14 230:5 233:6 233:8 241:5 248:4
249:14 251:5 251:6 251:6 258:2 268:14
274:1 274:5 280:12 294:5 301:4 319:10 319:14 319:19 319:21 320:3 320:9 320:13 328:1 332:6 336:5 336:10 340:11
truly [l] 40:14
truth [6] 8:18 8:18 8:18 123:20 184:2 184:4
try [M] 170:7 171:1 206:5 280:9
41:7
170:8 171:13 223:1 283:5
111:17
170:16 179:3 275:4 296:5
trying [29] 23:3
30:13 40:13 94:10 101:9 130:10 131:5 131:19 179:4 179:6 179:7 181:11 189:21 190:4 248:10 254:12 254:14 255:6 267:19 275:18 277:2 277:2 296:12 298:17 318:14 321:12 326:21 327:2 327:4
Multi-Page
Tuesday [ij 1:12
turn pj 54:3 71:12 72:18 152:20 283:14
284:14 310:6
turned pj
15:1
30:15 96:10 170:21
171:1
Twentieth [i] 3:12
Twice pj 9:10
9:9
twist [l] 248:11
two pi] 52:17 64:5
66:15 69:11 73:5
73:7 100:7 114:5 119:2 138:15 145:13 146:7 146:10 159:17 167:1 167:8 180:4 182:13 205:5 238:16 238:20 239:3 239:10 239:11 290:5 290:6 291:11 300:12 305:12 317:15 317:17
tying [i] 132:18
type [4j 22:21 172:15 219:7 227:8
types [i]
297:8
typical [ij
81:14
Tyson pj 20:4
20:2
U.S[2] 124:6 124:10
ultimately pj 170:20 240:17
unalterably [i] 226:12
unanimously [2] 105:13 107:13
unbelievable [ij 82:13
under [52]
27:6
28:11 39:8 39:19
39:20 46:16 47:21
52:15 54:3 54:7
56:5 62:10 91:18
105:8 107:9 109:7
111:1 116:20 117:13
122:15 140:8 143:16
155:15 157:8 158:3
162:2 166:3 168:21
186:20 196:6 202:14
202:21 216:15 217:14
218:11 225:18 235:3
239:21 240:13 240:14
245:9 245:17 252:14
270:5 273:11 287:6
287:8 299:5 309:8
309:9 309:19 309:19
understand^] ii:l
11:2 13:16 16:16 19:6 27:11 34:13 34:18 50:2 60:18
60:21 61:2 61:3
61:10 89:14 94:18 107:4 119:8 119:9 130:17 145:4 153:2
159:6 178:17 186:3 190:2 222:21 229:12
229:19 233:2 233:3 242:9 278:9 297:14 306:12 320:15 320:16 322:6 326:14 326:20
understood [4] 11:6 186:9 255:3 301:5
understudy [i] 124:16
undertake [2] 12:21 40:13
undertaking [i] 114:17
undertook [2] 192:14 205:11
underway [2] 170:5 287:10
undesirable [4] 40:3 79:12 128:6 128:9
undoubtedly [i] 64:12
unfair [S]
166:14
168:1 296:3 296:12
296:13
unfairness [ij 242:7
unfavorable [2j 123:14 294:2
uniform [5] 239:21
245:18 287:8 287:13 288:2
uniformity [4] 226:11 238:19 271:12 287:14
unincorporated [i] 24:5
uninformed [i] 101:7
unintelligible [i] 76:16
Union [2] 315:2
214:16
United [5]
37:18
64:11 145:11 157:4
336:6
units [l] 218:16
universe [ij 300:1
University [6j 12:13 58:20 124:6 140:11 316:1 316:10
unknown [i] 303:17
unless [5]
57:9
58:2 117:15 161:16
320:7
unnecessarily [i] 295:3
unnecessary [i] 227:4
unproven [ij 257:17
unreasonable pj 82:17
unrelated [i] 179:21
untop] 287:12
unusual [i] 63:21
up [27]
33:13 123:16 161:1 171:15 205:21
211:7 240:20 294:8
329:11
26:2
57:5 135:7 161:3 179:7 206:5
212:20 282:3 308:11
33:2
98:17 141:15 169:14 180:18 210:16
218:9 284:11 318:11
update [ij
142:5
urine [3] 170:21 171:13
thousands - voice
171:16
USA [l] 314:17
used po]
18:14
32:11 82:6 117:2 134:3 136:16 145:12 166:16 172:8 203:13
203:17 215:7 219:21 240:21 241:16 246:6
246:21 248:5 295:9 338:11
useful [4]
54:4
130:7 131:1 278:5
usesp] 306:6
using [12]
49:9 49:17 130:19 133:6 145:17 146:5 278:3 319:3
35:7
125:4 145:11 267:17
Utilize [2] 82:1
69:12
utilized [l] 300:17
Utilizes [i] 81:10
V p] 1:3 1:7
vague [io]
53:12
56:14 60:16 74:15
76:15 93:12 119:6
232:20 274:17 303:7
value [3]
93:1
94:5 252:19
varied [l] varieties [i] variety [i]
326:1 291:11 291:12
various p]
174:16
174:16 188:12
Varnish [io] 167:14
209:3 216:13 218:5
249:15 251:7 296:1
311:13 311:20 312:10
varyp] 325:18
vastpj 160:15
vehicle [i] 23:3
vehicles [i] 23:3 verbalized [ij 10:6
verification [i] 267:17
versus w
4:4
28:15 222:1 222:1
vicep] 22:13
vice-president pi 22:10 22:11
videographer[i3] 4:2 4:7 34:1 81:3 111:18 134:21 198:4 243:5 272:10 279:12 282:11 305:6 339:14
videotape p] 184:17 341:7
videotaped p] 265:4 339:16
view p] 210:16 211:7
virtually [i] 235:6
visit [l] 56:6
voice [9]
26:2
135:7 141:15 161:3
218:9 282:3 282:4
282:5 282:5
Evans Reporting Service
Index Page 23
volatiles - zinc
volatiles [i] 310:3
voting 2] 28:15
28:13
W-h-i-t-s-o-n [i] 115:9
'.A[IJ 331:12
W.Pm 331:14
wait [5] 10:17 10:18 71:9 72:2 195:17
waive m
339:12
walls ij
226:21
warning i3j 188:19 189:9 190:1 226:13 227:8 240:1 270:5 270:7
188:15 189:14
226:16
240:8 271:1
warnings i] 227:4
warrant 3] 50:15 57:5 183:1
Washington 3] 3:4 3:13 124:7
wasting ni 111:13
water [sj
3:6
11:21 33:18 242:21
264:14
waterproofing m 23:4
wave (2j 270:6 270:21
ways 3] 195:4 292:19 293:3
weeks [21 73:7
73:5
nightpi
218:20
eightod m 77:21
welfare m 294:10
Westm 2:12
Westburym 11:17
whatsoever i] 240:17
whereas m 65:14
Wherever m 210:15
white (S6i
47:17
47:21 48:2 48:3
48:8 48:16 49:5
49:6 49:9 49:16
49:17 49:18 50:10
50:14 50:20 51:5
51:12 51:20 112:1
112:9 112:20 114:18
114:19 115:10 116:21
117:2 117:14 117:20
117:20 118:10 118:19
119:4 125:4 128:16
129:10 130:19 130:21
132:4 132:9 132:11
132:16 132:19 132:21
133:6 134:3 134:4
146:10 146:11 160:1
160:7 277:5 317:4
335:8 336:5 336:13
338:11
WhitefordfS] 2:11 2:12 4:14 4:14
98:16
Whitehead 38] 2:14
4:16 4:16 43:18 46:4 61:15 75:21 86:10 87:11 88:3
ndex Page 24
88:9 88:14 88:21
93:6 93:9 93:17 95:12 98:5 98:8 100:17 101:3 108:18
111:8 111:16 113:18
12110 12520 126-4
129:20 195:2 266:8
330:6 330:9 330:12 331:2 335:21 338:19 339:2
Whitson i] 315:9
whole mi
69:17 169:17
184:19 185:2 185:10 203:3 251:12
8:18 171:18
185:9 241:5
wide rn 96:16
widely 3]
117:17
117:21 300:17
widespread m 67:5
wildfowl i] 210:14
William 4] 2:15 4:18 255:20 262:14
Williams (21 5:4 214:2
wishes m
23:21
within--named [li
340:5
without 8] 87:15 94:8 99:3 104:4 119:7 198:16 259:4 278:6
witness pi] 8:17 13:14 26:9 26:14 29:21 36:2 45:14
46:7 52:10 56:15 57:14 59:3 60:9 62:17 68:20 69:7 70:4 70:21 72:15 72:20 73:5 76:3 77:3 80:20 87:11 87:17 89:19 93:19 94:7 97:8 98:4
101:9 104:1 105:3 105:20 107:1 108:11 113:8 122:1 136:9 137:15 141:13 142:9 147:17 150:16 152:17
155:10 165:11 168:18
175:8 178:18 181:20
186:1 186:8 187:5
190:20 196:4 201:2
207:13 210:10 214:3
218:10 225:6 230:20 231:7 234:20 237:9 243:4 243:20 252:6
254:17 256:7 263:20
265:1 268:21 270:1 272:21 279:5 281:5 283:1 286:17 289:9
298:9 304:15 308:4
316:6 318:8 338:20 339:4 340:5 340:16
woefully rn 101:7
wonder i]
68:15
wondering m 240:6
wood m
219:10
word (i i)
57:2
79:8 79:8 137:12
138:6 184:8 208:12
Multi-PageTM
210:4 216:21 228:18 309:21
wording 3] 241:3 309:5 309:15
words 12]
121:18
184:12 184:12 184:15
184:18 184:20 248:11
248:18 267:3 284:19
284:19 293:13
worked rn
102:5
234:7 246:17 334:21
works 3]
77:19
77:20 333:6
world m
94:6
Wormser24] 41:15 41:18 58:20 62:11 113:2 137:10 143:15
147:11 148:7 149:3 149:16 150:9 151:10
151:15 153:1 153:21
171:5 205:15 205:18 264:8 266:5 341:13 342:5 342:9
Wormser's 2j 148:2 266:2
worst i]
Wright m 1:6 4:3 90:5 90:11
285:8
1:2 90:1 90:12
writer 2] 19:7
17:15
writers PI writing m
98:18 252:18
wrong 4i
58:5
118:6 118:8 276:1
wrote (3j
248:12
248:13 276:14
X-ray 2] 267:6
170:19
year 4] 204:16 289:7 294:2 306:8
years poi
19:1
20:2 24:10 33:3
33:5 42:15 48:3
60:20 74:18 100:7
100:11 118:6 125:17
145:12 160:15 171:19
235:17 235:18 276:5
297:1 310:21 311:2
312:4 313:6 325:18
326:1 326:2 327:9
332:4 332:5
yellow [1]
yesterday 6] 7:19 8:12 96:11 97:3
79:1
7:5 96:10
yet 4] 132:18 144:15 177:2 184:19
York 28i
2:10
2:10 11:14 11:14
11:17 13:3 21:21
24:8 25:7 208:17
226:10 229:7 229:10
229:17 233:15 233:16
235:7 240:13 240:15
241:19 245:19 246:7
247:1 247:12 247:19
248:5 287:11 339:11
yourself rsi 106:7 109:14 185:7 236:12
318:3
yourselves m 71:4
Z66(4] 190:1 284:9 288:9 310:7
Z66.1 m
245:21
246:6 246:15 247:14
247:21 308:12 312:14
zero(i) 82:2
Ziegfeld 6] 205:21
206:1 276:17 276:18 306:1 311:6
zinc [13] 7:13 57:3 146:8 146:13 166:2 166:13 166:15 167:17 196:16 196:20 255:21 317:13 317:14
";c
Evans Reporting Service