Document qDmNRaB2w29bG41LZ682aLe5

respect to hazardous products. RESPONSE TO INTERROGATORY NO. 99; See Abex's response to Interrogatory No. 95, above. INTERROGATORY NO. 100; Identify any and all documents including, but not limited to, minutes, bulletins or reports, received by, or on behalf of, any trade organization, association or entity listed in response to Interrogatory No. 94 and/or 97, or any committee, subcommittee or subgroup thereof; (a) which refer to, relate to or reflect the subject of asbestos; (b) which refer to, relate to or reflect a relationship between asbestos exposure and any disease; or (c) which refer to, relate to or reflect the placement or providing of warnings with respect to hazardous products. RESPONSE TO INTERROGATORY NO. 100: See Abex's response to Interrogatory No. 95, above. INTERROGATORY NO. 101: Identify any and all agreements, oral or written, between or among Defendant, any ofthe other defendants in this lawsuit, any organization, association or other entity including, but not limited to, those identified in your answer to Interrogatory No. 94 and/or any medical or scientific foundations, relating to the standardization of: (a) Specifications for asbestos cloth products; (b) Specifications for paper or burlap bags, or other packaging to be used for the transport and/or storage of asbestos cement; 'V (c) Warning or caution labels to be applied to asbestos products and/or their packaging, cartons, containers, or boxes; (d) Methods of dissemination of public relations information to defendant's purchasers, advertisers, distributors, factory workers, contractors, insulators, users, consumers of asbestos products and/or the general public; -72-