Document qmd9ez1YmQ2Row5Yr4LdjLVZR
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1 IN THE CIRCUIT COURT OF THE CITY OF ST. LOUIS
2 STATE OF MISSOURI
3
4 GLENN BROWN, etal.,
5 Plaintiffs,
6 VS.
# 862-00694
1 CONTINUED CROSS EXAMINATION 2 QUESTIONS BY MR. McCREA: 3 Q Dr. Kelly, good morning. 4 A Good morning, Mr. McCrea. Mr. McCrea, before 5 we start, could 1 clarify something?
7 MONSANTO COMPANY,
6 Q Yes, sir.
8 Defendant. 9 10 11 12 13 VOLUME V
7 A Last Wednesday 1 said 1 would be very 8 surprised if the Judy Zack article were not published. 9 Well, I'm very surprised because it has not been published. 10 1 had the computer search on her and she did not publish 11 that article. 1 had seen it so often 1 was certain that it
14 DEPOSITION OF DR. R. EMMET KELLY
12 had been published, but it has not.
15 On the part of the Defendant
13 Q All right, sir.
16 June 15,1990 17 18 19 20 21
14 MR. CARNEY: Let me just -- You asked me, Mr. 15 McCrea, if 1 would check to see if there was a list at 16 Monsanto of the cases that Dr. Kelly's testified in, and 1 17 checked with the in-house counsel at Monsanto and he 18 indicated there was no such list. So 1 have checked that
22 19 out and determined that, so 1 think the best evidence as
23 20 far as 1 can tell from my questions that Dr. Kelly has
24 WALLER REPORTING, INC.
21 given you his best memory of those erases.
25 REGISTERED PROFESSIONAL REPORTERS
26 515 OLIVE STREET, SUITE 1506
22 Q (By Mr. McCrea) Dr. Kelly, do you have page
27 ST. LOUIS, MO 63101
23 21 of Plaintiff's Exhibit Six in front of you?
28 (314)621-2571
24 A Yes, 1 do.
29 25 Q Are you familiar with the report to Monsanto
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1 IN THE CIRCUIT COURT OF THE CITY OF ST. LOUIS
2 STATE OF MISSOURI
3
4 GLENN BROWN, etal.,,
5 Plaintiffs,
6 vs.
Cause # 862-00694
7 MONSANTO COMPANY,
8 Defendant.
1 Chemical Company by Cecil K. Drinker, M.D., September 15, 2 1938? 3 A Yes, sir. 4 Q Who requested that Dr. Drinker provide this 5 data? 6 A Monsanto did. 7 Q Was -- Were you in on the decision to request
9 8 this toxicological information?
10 DEPOSITION OF WITNESS, produced, sworn and examin ed9 A Well, in fact 1 presumably made the decision
11 on June 15, 1990, between 8:00 a.m. and 6:00 p.m. of that 12 day, at the offices of Communitronics Corporation, 1907 13 South Kingshighway, St. Louis, Missouri, before Sheila C. 14 Irvin, a Notary Public within and for the State of 15 Missouri, in a certain cause now pending in the Circuit 16 Court of the City of St. Louis, State of Missouri, wherein 17 GLENN BROWN, et al. are the Plaintiffs, and MONSANTO
10 myself. 11 Q Do you recall having received this information 12 at Monsanto? 13 A Yes, sir. 14 Q Would you turn to page 38 of the Drinker 15 report?
18 COMPANY is the Defendant; on behalf of the Defendant.
16 A Yes, sir.
19 APPEARANCES
17 Q On page 38 there is a diagram called figure
20 The Plaintiffs were represented by Mr. David S.
18 two, and it makes reference to a chlorinated diphenyl. Is
21 McCrea of the law firm of McCrea & McCrea, 119 South Wain J*I9 chlorinated diphenyl the same as PCB?
22 Street, Bloomington, Indiana 47402.
20 A It is a PCB, yes, sir.
23 The Defendant was represented by Mr. Thomas M. 21 Q So in thisarticle when there is reference to
24 Carney of the law firm of Husch, Eppenberger, Donohue,
25 Cornfeld & Jenkins, 100 North Broadway, St. Louis, Missouri 22 chlorinated diphenyl, that would be the same as PCB?
26 63102
23 A That's what he's referring to. I'll have to
27 24 look at the article and see whether the compound he used
28 25 was actually chlorinated diphenyl, but he ought to be able
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
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L EXO L D M O N006942
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1 to say that in here someplace.
1 A 1 really don't.
2 Q All right, sir. On page --
2 Q Maybe we don't have the same page. Does that
3 A 1 was going to look up to be sure, to be able
3 have at the top of it three, "Chlorinated Diphenyl"?
4 to tell you whether he's, whether he, this particular
4 A Yes. And what paragraph are we on?
5 chlorinated diphenyl was, that he called chlorinated
5 Q The second paragraph on the page.
6 diphenyl was PCB.
6 A Well, 1 start off on that, "The compound 1268
7 Q You might want to turn to page 26, Doctor. At
7 was administered by inhalation."
8 the top there is a heading, "Chlorinated Dyphenyl -
8 Q Right, right.
9 Compound 1268." Would that be a PCB with chlorine
9 A Described. Okay. All right.
10 composing 68 percent of the weight?
10 Q Is that the report to which you are referring?
11 A Yes, sir, but also if you see on page 27, he
11 A Yes, sir.
12 refers to chlorinated diphenyl 4465.
12 Q And in the second -- in the third paragraph is
13 Q Yes, sir, and that's in the second full
13 he describing experiments with chlorinated diphenyl
14 paragraph on page 27?
14 compound 1268 where he says group one?
15 A Yes, yes, and 4465 is not a chlorinated
15 A Yes, sir.
16 diphenyl. It's a mixture of chlorinated diphenyl and
16 Q That paragraph is making reference to the 1938
17 chlorinated terphenyls. That's where they get the 4465.
17 experiment, not the 1937 article?
18 It's not the 1200 series.
18 A Yes, sir.
19 Q All right, sir. Can you briefly describe the
19 Q In that paragraph which is paragraph three on
20 difference between a PCB and a polychlorinated terphenyl? 20 page 26, Dr. Drinker states, "The experiment was continued
21 A Yes. It has one more benzene ring on it. It
21 for 119 days, animals being sacrificed at intervals for
22 may have more than one ring.
22 pathological examination and for carbon tetrachloride and
23 Q And does the ter, does that mean three?
23 alcohol test." What is the carbon tetrachloride test and
24 A Three.
24 what is the alcohol test and why is that administered?
25 Q All right.
25 MR. CARNEY: Well, I'm go to object to the
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1 A In those days, they also had what they called
1 form of the question.
2 chlorinated high boiler. That was a still bottoms after
2 A Well, it was administered because Dr. Drinker
3 the chlorinated diphenyl was distilled off the still
3 gave the -- After he treated these animals, he gave them a
4 bottoms. The still is a distilling column. So they
4 mixture of carbon tetrachloride and alcohol to see if these
5 chlorinated that and that went into 4465, 5460 and some
5 animals could handle it.
6 other materials that were not chlorinated diphenyl, but
6 Q (By Mr. McCrea) Why would hedo that?
7 were still called Aroclors.
7 A Well, he didn't find -- He said the rabbits
8 Q All right. On page 26 under the caption
8 were very healthy throughout the period. There was an
9 "Chlorinated Diphenyl - Compound 1268", can you briefly
9 almost uniform gain in weight.
10 explain the purpose of this testing by Dr. Drinker? Why
10 Q Where are you reading, sir?
11 did Monsanto want the testing?
11 A The, the third, the bottom paragraph.
12 A Well, it was because he had tested a
12 Q All right.
13 chlorinated diphenyl with 62 or 64 percent chlorine in it,
13 A So then he gave this -- So he said, "Though
14 and he found some toxicity. We don't believe that that's
14 liver damage was apparently slight, some degree of harm had
15 the, you're testing the right material, so we sent him this
15 been done to the organ." Well, 1 don't -- That's a test
16 1268.
16 that he thought up. Maybe it was good at the time. 1
17 Q In this second paragraph on page 26, Dr.
17 don't believe it's been used much lately in the last 30
18 Drinker states he makes reference to an article titled "The
18 years.
19 Problem of Possible Systemic Effects from Certain
19 Q Can you explain how it is that the liver
20 Chlorinated Hydrocarbons."
20 damage was apparently slight, but yet when the carbon
21 A Which page are you on?
21 tetrachloride alcohol test was administered, it was
22 Q Page 26. Do you have that?
22 positive indicating some degree of harm had been done to
23 A Yes, 1 have, but 1 --
23 the organ?
24 Q And it's the second full paragraph under
24 A 1 can't explain it.
25 "Experiments." Do you see that, Doctor?
25 Q Do you agree with that conclusion that the
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Pages 5 - 8
LEXOLDMONOQ6943
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1 carbon tetrachloride and alcohol administration proved
1 administered in a test condition and carbon tetrachloride
2 there had been harm to the organ even though the, there was 2 was then administered and there was no adverse effect, and
3 apparently, there was apparently slight damage?
3 in the second test PCB was administered and carbon
4 A Well, 1 don't agree with it because 1 don't
4 tetrachloride was then added and there was an adverse
5 believe that test has been used by anybody since Drinker
5 effect, are you not familiar with that basic result?
6 did it, so 1 really don't think that test had been subject
6 MR. CARNEY: I'm going to object to the
7 to any scientific scrutiny.
7 question. It's ambiguous. 1 don't know. 1 don't
8 Q Did you discuss the fact that the
8 understand the question, but if you understand it, Doctor.
9 administration of carbon tetrachloride and alcohol to the
9 A But you said -- if you bring me that test,
10 animals established harm with Dr. Drinker?
10 fine, bring it to me. I'll be happy to look at it.
11 A 1 don't recall that 1 did.
11 Q (By Mr. McCrea) Let me ask you this. Is
12 Q Would that conclusion then essentially stand
12 there a synergistic effect between carbon tetrachloride and
13 un refuted?
13 PCB?
14 MR. CARNEY: What -- I'm not sure what you're 14 A There may be.
15 talking about, the slight degree of --
15 Q And can you explain what synergism is in
16 MR. McCREA: Where it says--
16 medical science?
17 MR. CARNEY: -- of harm after they were given
17 A Yes. It means that if you have two compounds
18 alcohol and carbon tetrachloride.
18 that act similarly if they're used together, that the
19 MR. McCREA: No. It says, "Which indicates
19 result is more than the sum of the individual compounds's
20 that although -- that though liver damage was apparently
20 toxicity.
21 slight, some degree of harm had been done to the organ." 21
Q Would you agree that PCBs can have a
22 MR. CARNEY: After the animals were fed the
22 synergistic effect with carbon tetrachloride?
23 alcohol and the carbon tetrachloride?
23 A I'd have to have more details of that.
24 Q (By Mr. McCrea) No, 1 presume that that means
24 Q Would you agree that PCBs can have a
25 there was harm done to the liver after the administration
25 synergistic effect with alcohol?
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1 of chlorinated diphenyl compound 1268 which the
1 A Again I'd -- It may and it may not. 1 don't
2 administration of carbon tetrachloride and alcohol
2 know. It all depends on how much alcohol, how much PCBs.
3 established. Is that what that says, Doctor?
3 Q Would you agree that PCBs can have a
4 MR. CARNEY: Well, I'm going to object. The
4 synergistic effect with certain medications?
5 words speak for themselves, and you're trying to make
5 MR. CARNEY: Let me object to the question. 1
6 assumptions about what those words mean. Dr. Drinker -- 1
6 thing it's overbroad, certain medications.
7 think this might call for speculation as to what Dr.
7 A Like what ones?
8 Drinker meant in those words.
8 Q (By Mr. McCrea) Certain -- I'm asking you.
9 Q (By Mr. McCrea) Dr. Kelly, does that
9 A Well, 1 can't state that PCBs wouldhave a
10 statement indicate to you that Dr. Drinker determined that
10 synergistic effect with a medication that 1 don't know what
11 there had been harm done to the organ which was establishec 11 the medication is.
12 by the administration of the carbon tetrachloride alcohol
12 Q Are you familiar with any medications which if
13 test?
13 administered to an individual who had been exposed to PCBs
14 A That presumably is what he said, yes, sir.
14 would cause adverse effects not otherwise expected in an
15 Q Did anyone within Monsanto dispute that?
15 individual without the PCB burden?
16 A Well, no, but let me tell you that as 1 said
16 A 1 don't recall any.
17 before, nobody's used that test since. There have been no 17
Q You know what harm had been done to the organ
18 scientific articles on this. So 1 wasn't going to argue
18 as described by Dr. Drinker at the bottom of page 26 where
19 with Drinker over his test, but the fact that nobody else
19 he says, "Some degree of harm had been done to the organ"?
20 used it in the 30 years, I've seen no reports of this being
20 Can you describe that to the jury?
21 used in toxicological experiments. So it was his idea, but
21
MR. CARNEY: Well, I'm going to correct you.
22 obviously nobody else's.
22 1 think it says, "Apparently slight, some degree of harm."
23 Q Dr. Kelly, if 1 would bring to your attention
23 MR. McCREA: No, you're not reading that
24 an experiment done within the last 30 years where PCB was 24 sentence correctly. It says "The carbon tetrachloride
25 administered in a test condition, where there was no PCB
25 alcohol test was positive after 52 days which indicates
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
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L EXO L D M O N006944
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1 that though liver damage was apparently slight, some degree 1 your opinion?
2 of harm had been done the organ."
2 A Well, that statement shows that when he had to
3 MR. CARNEY: 1 agree. You read it correctly.
3 use something like 12 times the amount of material that he
4 Q (By Mr. McCrea) Can you describe to the jury
4 used in his previous experiment, over 6 milligrams per
5 the harm which had been done to the liver organ as
5 cubic meter of air, he got some positive results from the
6 described by Dr. Drinker at the bottom of page 26?
6 carbon tetrachloride. 1 don't think anybody will deny that
7 A Yes. He said that in the first sentence, "The
7 if you heat 1268 up enough, get enough of it in the air and
8 conditions described above cause swelling and increase of 8 keep on animal in there for 119 days or how many, that you
9 granularity in the liver cells." Then in this next
9 may get some liver damage, certainly.
10 paragraph he says, "When sacrificed 72 and 101 days after 10 Q All right.
11 removal from exposure, it was observed that the swelling
11 A It's not supposed to be breathed at elevated
12 had decreased -- has disappeared rather, but the granular 12 temperatures for 119 days.
13 material remained."
13 Q In your opinion, is there a synergistic effect
14 Q Where were you reading that, sir?
14 between exposure to PCB and a separate exposure to benzene?
15 A On page 27, paragraph one.
15 A 1 don't know of any. Benzene acts in the
16 Q And does it say the granular and hyaline
16 blood forming organs primarily and PCB does not, so 1 don't
17 material remained in the liver cells and had apparently
17 know.
18 become permanent?
18 Q Did Monsanto Company manufacture and sell the
19 A Yes, sir, but that isn't hurting the liver
19 product listed on page 29 under heading four, "Mixture of
20 cells.
20 Chlorinated Diphenyl and Chlorinated Diphenyl Benzene -
21 Q What?
21 Compound 5460"?
22 A That is not hurting the liver cell because he
22 A Yes, sir.
23 said there's absolutely no progression of damage after
23 Q Would you read the last paragraph of that
24 removal from exposure.
24 section on page 30? It says, "In view of the fact that
25 Q But he's already determinedthere was harm to
25 5460 in such low concentrations proved so definitely toxic,
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1 the liver by the administration of the alcohol, the carbon
1 no higher concentrations were tested. It seems imperative
2 tetrachloride alcohol test; correct?
2 that whenever this compound is used in industry, great care
3 A In -- That's what he stated. He said it
3 be taken to keep concentrations in the air at extremely low
4 indicates that some agree of harm had been done. Yes, he 4 level. No liberties can be taken with it, as with 1268."
5 states -- That's what he states.
5 Do you recall what warnings you issued to the purchasers of
6 Q Would you go to page 27, the third full
6 the compound 5460?
7 paragraph which has the heading group two? Are you with me 7
MR. CARNEY: Let me object to your reading a
8 on that, Doctor?
8 statement out of context, one paragraph out of a long
9 A Yes, 1 am.
9 report and then asking an unrelated question about it. 1
10 Q In this instance there again is reference to
10 don't know. 1 object to that way of asking a question, to
11 PCB 1268; correct?
11 read some statement out of context and then ask a question
12 A Yes, sir.
12 that's unrelated.
13 Q And he describes the results in this as
13 Q (By Mr. McCrea) Dr. Kelly, do you agree with
14 slightly poisonous?
14 Dr. Drinker's statement that 5460 is definitely toxic?
15 A Yes, sir.
15 A It's toxic if you get high enough
16 Q Then down at thebottom of that page he
16 concentrations, yes, but remember 5460 isn't even close to
17 states, "Under these extreme conditions, the animals again 17 a PCB. We're not talking about -- It's not used in
18 remained in perfect health." Is that correct?
18 electrical industry at all.
19 A That's what he says, yes, sir.
19 Q Dr. Kelly, do you agree with his statement
20 Q And then he adds the sentence, "The carbon
20 that whenever this compound is used in industry, great care
21 tetrachloride and alcohol test was positive, but there was
21 should be taken to keep concentrations in the area at
22 absolutely no other indication of liver damage and no
22 extremely low levels?
23 evidence of disturbance to other organs." Is that correct?
23
MR. CARNEY: Well, I'll object. You're
24 A That's whathe says, yes, sir.
24 talking about a compound that's not involved in this
25 Q What is the significance of that statement in
25 lawsuit.
Kelly, R. Emmet M.D. (fmrMons Med Dir) in BROWN Volume 5
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LEXOLDMONOQ6945
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1 Q (By Mr. McCrea) Do you agree with that
1 Q And on page 42 is there a discussion of under
2 statement?
2 experiments of exposure to chlorinated diphenyl.
3 A Well, I'd have to know what he means by
3 A Yes, sir.
4 extremely low level.
4 Q And does that discussion concern only
5 Q Well, this report came to you from Dr. Drinker
5 chlorinated diphenyl or PCB?
6 and was paid for by Monsanto.
6 A Frankly 1 don't know. 1 mean, this - As you
7 A That's correct.
7 said, there's some confusion in this report. You can see
8 Q Is that correct?
8 it's reporting there an experiment July the 1 st, 1936 to
9 A Yes.
9 November the 18th, 1936, and the date of this report in
10 Q Did you ask him what he meant?
10 your exhibit is September the 15th, 1938.
11 A 1 might very well have. This was 1938. 1
11 Q That's correct.
12 might very well have.
12 A That's a two year lapse. 1 think he's
13 Q Do you recall what warnings you issued for
13 reporting his previous experiments where he had mislabeled
14 1268 or for 12, 5460?
14 a chlorinated diphenyl.
15 A 1 surely said--this is solid, of course. 1
15 Q At the bottom of page 42 he has listed under
16 surely said do not breathe the fumes that are involved at
16 table one, "Conditions Maintained in Inhalation Experiment
17 elevated temperatures.
17 from July 1 to November 18, Material, Chlorinated
18 Q All right, sir. Would you go to page 43? The
18 Diphenyl." Is that correct?
19 caption on that is "Results of Inhalation Experiments." Is
19 A That's what he stated, yes. I'm not sure
20 that correct?
20 whether that was chlorinated diphenyl as I've said
21 A Wait, 1 haven't got there yet.
21 repeatedly.
22 Q All right, sir.
22 Q Do you have any independent recollection of
23 MR. CARNEY: Same report?
23 this report at this date as to whether or not that's
24
MR. McCREA: Same report, 1 believe. Page 43.
24 chlorinated diphenyl or something else?
25 A Okay, I'm ready.
25 A Yes, 1 think it's something else. 1 think
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1 MR. CARNEY: Do you have two copies of the
1 it's chlorinated diphenyl benzene because I'll repeat, this
2 same report in this exhibit?
2 is experiments that he did in July of 1937, and that's what
3 MR. McCREA: 1 don't think so.
3 was reported on the supposement in December of '37 or
4 MR. CARNEY: I've got pages 21 through 34.
4 sometime in '37.
5 That's a report dated September 15, 1936, 1938, 1 assume.
5
Q But this report date is September 15, '38 if
6 Yeah, by Drinker, and then starting at page 35 --
6 that's the appropriate caption page; correct?
7 MR. McCREA: This is a different -
7 A That's correct.
8 MR. CARNEY: Section of the same report?
8 Q You cannot state if that caption page matches
9 Q (By Mr. McCrea) Well, it's -- This has to do
9 - You can't state if the caption page at page number 35 is
10 with the report which begins on page 35. Dr. Kelly, could
10 associated with the following pages?
11 you first go to page 35 of the exhibit?
11 A Wait a minute. Page 35? 21 was my, another
12 A Page 35?
12 caption page.
13 Q Yes, sir.
13 Q There was -- well, yes.
14 A Yes, sir.
14 MR. CARNEY: That's why -
15 Q And there seems to be some confusion as to
15 Q (By Mr. McCrea) Mr. Carney has brought to our
16 whether this caption sheet and the one on 21 are the same. 16 attention there are two caption pages, one at 21 and one at
17 They appear to be the same, but the page following 35
17 35.
18 begins with the caption "Report on 4465, Inhalation
18 A Yeah, but they're both the same thing.
19 Experiments."
19 Q Exactly.
20 A Yes, sir.
20 MR. CARNEY: What I'm concerned about is that
21 Q Is 4465 a PCB or another chemical?
21 somebody got an extra caption page in here in the copying.
22 A It's another chemical completely.
22 1 don't know that for a fact, but that's what it looks
23 Q On page 38 there is reference to the
23 like.
24 chlorinated diphenyl in the figure. Is that correct?
24 Q (By Mr. McCrea) well, 1 can't straighten that
25 A Yes, sir.
25 out at this point in time. Would you turn to page 43?
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
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L EXO L D M O N006946
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1 A Yes, sir.
1 mischaracterized what was said in these two sentences. You
2 Q The caption of page 43 is "Results of
2 haven't made clear anyway that, what the dose is that you
3 Inhalation Experiments."?
3 were talking about.
4 A That's correct.
4 Q (By Mr. McCrea) Well, let's read it again.
5 Q Would you read -- Let me read to you the first
5 Dr. Kelly, the first sentence states, "In accordance with
6 with two sentences of the third paragraph on page 43. "In
6 this" --
7 considering the entire matter, it seemed to us that the
7 MR. CARNEY: Well, let me, you know, 1 don't,
8 chlorinated hydrocarbons, if inhaled in sufficient
8 you know, I'm go to object to your just reading --
9 concentration, might cause a slight degree of damage to the 9 You're reading a report of Dr. Drinker that was made back
10 liver. This damage is resisted efficiently and causes no
10 in 1937 or '38, and then you're asking this witness to
11 depreciation of health, but if the individual in question
11 explain what these words mean, you know. 1 object to that.
12 happens to suffer some ordinary disease of the liver, the
12 1 don't think that moves this case along. We can all read
13 condition is superimposed upon a substratum of injury."
13 them. 1 heard you read it and you did read it accurately
14 Can you explain that to the jury?
14 the first time you read it. 1 don't know that we need to
15 MR. CARNEY: Well, let me object to this.
15 reread these sentences into the record. If you have a
16 First of all it, we're talking about chlorinated
16 question, though, 1 think maybe you ought to ask the
17 hydrocarbons as a generic term, not PCBs, and second, this 17 question.
18 may call for the witness to speculate inside the mind of
18 Q (By Mr. McCrea) Dr. Kelly, why did the
19 Dr. Drinker.
19 chlorinated diphenyl cause yellow atrophy of the liver when
20 Q (By Mr. McCrea) Can you explain what that
20 carbon tetrachloride and ethyl alcohol were added?
21 means to the jury?
21 A Well, if in this particular experiment he is
22 A Well, 1 don't believe 1 can get inside Dr.
22 quoting, he is using chlorinated diphenyl, actually
23 Drinker's head, but what he seams to be, what he is saying 23 chlorinated diphenyl, that's one thing. If he is using --
24 is if you inhale chlorinated hydrocarbons, whatever they
24 if he's talking about the stuff that he used in 1936 which
25 are, whichever they are, and you inhale enough of it, you
25 was not chlorinated diphenyl, it seems then that you've got
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1 might get a slight degree of damage to the liver. The
1 an addition of alcohol, carbon tetrachloride and either
2 liver is always repairing itself. As 1 said earlier, if
2 chlorinated diphenyl benzene or chlorinated diphenyl. 1
3 you get three drinks of alcohol a night you'll kill some
3 don't know which he did. Who he had this cocktail, these
4 liver cells. The next morning these liver cells start
4 three mixed together, they were worse than the chlorinated
5 regenerating. So that's, 1 guess, what he means by is
5 diphenyl by itself.
6 resisted efficiently and no real depreciation of health,
6 Q How does that happen? Explain to the jury why
7 but then if you put some more insult on it you may get
7 the animal which had been exposed to the inhalation of PCB
8 problems.
8 and is then administered carbon tetrachloride and ethyl
9 Q The next sentence on page 43 in paragraph
9 alcohol experienced yellow atrophy of the liver when the
10 three status, "In accordance with this hypothesis, we
10 animal that had no PCB suffered no problems?
11 determine that a dose of 0.75 cc of carbon tetrachloride
11
MR. CARNEY: I'm going to object. You've
12 plus 0.75 cc of ethyl alcohol per kilogram of rat was
12 mischaracterized the witness'testimony. He's already said
13 entirely non-toxic to normal animals." Is that correct?
13 that he doesn't even know that it was a PCB that we're
14 A That's what he says, yes, sir.
14 talking about. We have established and the doctor has said
15 Q And then the next sentence status, "When,
15 about five times on the record that Dr. Drinker admitted
16 however, this dose was given to animals which had inhaled 16 later making a mistake and thought he had PCBs when, in
17 chlorinated diphenyl as had been described in this
17 fact, he didn't have PCBs, and this may be a reference to
18 experiment, the result was acute yellow atrophy of the
18 the old test and not the new one, and so 1 think you've got
19 liver." Can you explain that to the jury?
19 to clarify that to be fair with the witness and not just
20 A Explain what?
20 make the assumption when he's already said he doesn't know
21 Q Explain the fact that the doses given to a rat
21 if it was a PCB.
22 were non-toxic, but when that rat had been exposed to
22
MR. McCREA: Would the court reporter please
23 chlorinated diphenyl or PCB and was then given the same 23 read my question and then I'd like an answer.
24 dose, there was yellow atrophy of the liver.
24 (Thereupon, the reporter propounded the pending
25 MR. CARNEY: I'm going to object. You've
25 question.)
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
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1 A Well, if the material, the first material that
1 A Yes, sir, but we're - 1 knew that, yes, but
2 Drinker used, whatever it was, whether it was chlorinated
2 we're talking about animal experimentations. There have
3 diphenyl or chlorinated diphenyl benzene was used, then
3 been no yellow atrophy of the liver cases in workers who
4 after it was unable to handle a mixture of carbon
4 worked with PCBs for 50 years. There haven't been any.
5 tetrachloride and alcohol, both of which are poisons to the
5 Q And Dr. Kelly, that statement presumes that
6 liver.
6 the people in the plant, the doctors in the plant and the
7 Q (By Mr. McCrea) But they were not poisonous
7 doctors who treated the workers were able to associate PCBs
8 to the liver in the rat which had not been administered the
8 with yellow atrophy of the liver?
9 chlorinated diphenyl in this experiment; correct?
9 A Plus the health department because these cases
10 A Presumably, yes. 1 don't see the details of
10 are always reported to the health departments, the labor
11 that particular experiment here.
11 departments.
12 Q Now, what I'm asking you is to explain to the
12 Q And if a worker didn't know he was exposed to
13 jury how that process takes place, that there can be yellow 13 PCB and developed yellow atrophy of the liver, how in the
14 atrophy of the liver in the animal which was exposed to the 14 world could a doctor make an association?
15 chlorinated diphenyl or PCB and then is administered the 15 A Well, if he didn't know it, you're making the
16 carbon tetrachloride and alcohol?
16 assumption that 1 cannot make a statement about. If the
17 A Drinker didn't explain that, either, did he?
17 worker didn't know it, there could no association by
18 1 didn't see it in here.
18 him.
19 Q Can you explain it?
19 Q Correct. Are you stating that all workers in
20 A No, 1 can't explain it.
20 industry, General Electric, McGraw Edison, Allis-Chalmers,
21 Q In 1938 did you know that Dr. Drinker reached
21 Westinghouse, Saginaw, Niagara and all of your customers
22 this conclusion?
22 knew that they were working with PCBs from 1936 till 1977?
23 A Yes.
23 A Well, all the companies knew it.
24 Q In 1938 did Monsanto know that Dr. Drinker
24 Q Are you stating that the workers knew it?
25 reached this conclusion?
25 A 1 don't know whether they did or not. 1 have
Page 26
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1 A If 1 knew, Monsanto knew.
1 never been in a GE plant,a Saginaw Electric plant, a
2 Q In 1938 did Monsanto issue warnings to
2 Packard manufacturing plant or any of them, so 1 cannot
3 purchasers of chlorinated diphenyl that individuals exposed 3 answer that question.
4 to chlorinated diphenyl and then carbon tetrachloride
4 Q Isn't it a fact, Dr. Kelly, that as you sit
5 and alcohol could suffer yellow atrophy of the liver?
5 here today in this deposition, you do not know what workers
6 A No, sir, they did not. Carbon tetrachloride
6 knew or what percentage of workers knew they were exposed
7 is a poison and 1 think everybody -- We do not manufacture 7 to PCBs?
8 carbon tetrachloride. Anybody who has manufactured carbon 8
A 1 think that's correct, but I've told you that
9 tetrachloride states do not inhale the fumes, do not take
9 1 have never been in the plants. How would 1 know it?
10 internally, and it's not intended to be taken internally.
10 MR. CARNEY: This is just an obvious tactic.
11 Q 1 understand that, but you also knew that in
11 You've established that - We've established Dr. Kelly
12 this study there was no compromise of the animals who were 12 wasn't in these plants. You're talking about work - He's
13 administered carbon tetrachloride who had not previously
13 supposed to speculate inside the mind of what these workers
14 been exposed to PCB. You knew that based on this study; 14 knew? The fact was Dr. Kelly has repeatedly said he gave
15 correct?
15 the warnings to the people that he had contact with. He
16 A Based on Drinker's statement, 1 did not -- 1
16 had no right to go in the plants and start talking to these
17 knew what Drinker said in this experiment. 1 do not know
17 workers without permission of Westinghouse or General
18 how much, what the details of the experiment were, but we 18 Electric.
19 knew that if the people followed our recommendations, they 19
MR. McCREA: That's exactly my point. It's
20 would not get injury from the PCBs.
20 pure speculation on the part of this witness to state there
21 Q You knew that these results indicated that
21 were no reported cases of yellow atrophy of the liver.
22 carbon tetrachloride and alcohol could cause yellow atrophy 22 That's pure speculation.
23 of the liver in an animal previously exposed to PCB and
23
MR. CARNEY: No.
24 that it had no effect in the animal which had not been
24 A It is not.
25 given PCB?
25 MR. McCREA: Just a second. Because he cannot
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Pages 25 - 28
LEXOLDMONOQ6948
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1 establish that the treating doctors of these workers knew
1
MR. McCREA: All right. Name -
2 that there was an exposure to PCB and thus the causal 2 MR. CARNEY: 1 have proof of it.
3 relationship, and without that knowledge, yellow atrophy of
3
MR. McCREA: All right, Mr. Carney. That
4 the liver as being caused by PCB would be undiagnosed, and 4 particular statement is going to be taken to your
5 for him to state there were no reports is, as you state,
5 disciplinary commission. 1 promise you.
6 pure speculation.
6 MR. CARNEY: 1 welcome it. 1 welcome it. 1
7 MR. CARNEY: It's not speculation at all. Let
7 really do. 1 hope you do.
8 me just make a statement and I'll let you make a statement, 8
MR. McCREA: All right. Well, 1 promise you 1
9 too. Let me just correct you. It is not a speculation.
9 will.
10 It's a fact that there were only less than a handful of
10 MR. CARNEY: Why don't we go on with the
11 reports in 50 years. Now, that's a fact.
11 deposition.
12 MR. McCREA: Well, how could --
12 MR. McCREA: 1 promise you that will happen?
13 MR. CARNEY: That's not speculation
13 MR. CARNEY: 1 really -
14 whatsoever.
14 MR. McCREA: As will your interview of all our
15 MR. McCREA: That's a fact?
15 clients' doctors without our permission.
16 MR. CARNEY: Yes.
16 MR. CARNEY: Okay. You're -
17 MR. McCREA: But it's also a fact --
17 MR. McCREA: And that's an ex parte conduct,
18 MR. CARNEY: You agree with that?
18 contact which will also go to the disciplinary commission.
19 MR. McCREA: 1 don't agree with that, but it's
19 MR. CARNEY: And I'm challenging you right now
20 also a fact that none of these workers knew they were
20 to do it. Don't just talking about it. Doit. You've
21 exposed to PCB.
21 threatened to do it and you haven't done it, so 1 want you
22 MR. CARNEY: How did you -- Did you go and
22 to do it, Mr. McCrea.
23 interview all the General Electric -- how many General 23 MR. McCREA: I'll be happy to.
24 Electric workers have you interviewed.
24 MR. CARNEY: 1 don't think you will and you
25 MR. McCREA: I've talked to the supervisor of
25 know you won't. Go ahead.
Page 30
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1 the Pyranol division of General Electric where they made
1
THE WITNESS: Can we get on with my
2 transformers, and his testimony is that he didn't know
2 deposition?
3 there was PCB.
3 MR. McCREA: I'd like to if your counsel will
4 MR. CARNEY: I'm going to --
4 stay on track.
5
MR. McCREA: Just a second. You asked my. He
5
THE WITNESS: Well, you're asking the
6 didn't know there was PCB in the plant, and he couldn't
6 questions.
7 conduct operations because he spent so much time going to 7
Q (By Mr. McCrea) Dr. Kelly, give me the name
8 funerals.
8 of one individual working for any corporation in the United
9 MR. CARNEY: Well, that's an outrageous
9 States that knew he was exposed to PCBs before 1977?
10 statement. You know it's going to be stricken from the 10 MR. CARNEY: You including Monsanto?
11 record. You're trying to testify.
11 A Well, that is -- Do you think 1 keep a record
12 MR. McCREA: You asked me how 1 knew.
12 of the names of people who are exposed to every chemical
13
MR. CARNEY: You are making misstatements on
13 that we manufacture?
14 the record and I'm trying to correct you. You have not
14 Q (By Mr. McCrea) What evidence do you have
15 talked to all the workers in the electrical plants or all
15 that these workers knew they were exposed to PCB?
16 the workers in any plant.
16 A 1 don't have any evidence.
17 MR. McCREA: Well, you took the deposition of 17 MR. CARNEY: Let me object to the question.
18 Dr. Laland; correct?
18 It's obviously one that could call for speculation as to
19 MR. CARNEY: You have solicited a bunch of
19 what somebody else knew. He'd have to get inside the mind
20 workers to join in the lawsuit. 1 know that you've done
20 of some unnamed worker or, you know, 1 think in this case
21 that, but --
21 thousands and thousands of workers, get inside their mind
22 MR. McCREA: Mr. Carney, would you care to
22 and figure out what they knew in 1977. If you, you know,
23 apologize for that statement?
23 it's a ludicrous question, and it's obvious that you've run
24
MR. CARNEY: No, I'm not going to because it's
24 out of questions and you're just grasping at straws.
25 a fact and 1 have proof of it.
25 MR. McCREA: Would the court reporter please
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Pages 29 - 32
LEXOLDMONOQ6949
Page 33
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1 read the question back so that 1 can get an answer.
1 MR. McCREA: Would the court reporter again
2 (Thereupon, the reporter propounded the pending
2 read the question back so that we may get an answer?
3 question.)
3 (Thereupon, the reporter propounded the pending
4 MR. CARNEY: I'm going to object to that.
4 questions.)
5 These workers, you haven't given a name. You haven't, 5 MR. CARNEY: Further, are you excluding from
6 you're -- you haven't identified it. It's hopelessly
6 the question the fact that the doctor's already testified
7 vague.
7 that General Electric and Westinghouse knew more about PCBs
8 Q (By Mr. McCrea) Dr. Kelly, what evidence do
8 than Monsanto did? You know, 1 think if you exclude those
9 you have that any of the plaintiffs in this case knew they
9 things, then 1 think you talk about the ambiguity.
10 were exposed to PCB before 1977?
10 MR. McCREA: Would you answer the question?
11 MR. CARNEY: Objection, you know.
11 First of all, I'd like to have the question read again so
12 A 1 have no evidence that they knew or didn't
12 that you may answer it, and if you have any further
13 know.
13 objections, we can reread it again. We're going to get an
14 Q (By Mr. McCrea) What evidence do you have
14 answer.
15 that a single worker employed by Westinghouse knew he was 15
(Thereupon, the reporter propounded the previous
16 exposed to PCB before 1977?
16 question.)
17 MR. CARNEY: Talking about individually knew
17 A 1 do not have evidence on the knowledge of the
18 or evidence with regard to what the warnings were that
18 individual worker as the General Electric, but 1 have
19 Monsanto made to their supervisors? 1 mean, you know, the 19 definite knowledge that the people at General Electric were
20 question is vague as to what you mean. If you mean what -- 20 informed about the composition of the material and the safe
21 if you include in that the warnings that Monsanto gave,
21 handling factors to be carried out. 1 also have
22 we've covered that. 1 don't think that's what you're
22 information that the transformer company I've been to, not
23 asking for, but 1 think you ought to be clear about it.
23 General Electric or not Westinghouse, the workers 1 talked
24
MR. McCREA: Would the court reporter read the
24 with there did know it was PCBs they were working with in
25 question back so that 1 may again get an answer?
25 the transformers.
Page 34
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1 (Thereupon, the reporter propounded the pending
1 Q (By Mr. McCrea) Dr. Kelly, on page 43 Dr.
2 question.?
2 Drinker states that, "If the individual in question happens
3 A 1 have never talked to a worker with
3 to suffer some ordinary disease of the liver, the condition
4 Westinghouse at the Bloomington plant before or after 1977, 4 is superimposed upon a substratum of injury." That means
5 so 1 have no evidence. 1 don't know if he was
5 exposure to chlorinated hydrocarbons can injure an
6 knowledgeable or not knowledgeable.
6 individual who had an ordinary disease of the liver, does
7 Q (By Mr. McCrea) What evidence do you have
7 it not?
8 that a single worker employed by General Electric knew that 8
A Say that over. I'm reading this.
9 he was exposed to PCB before 1977?
9 (Thereupon, the reporter propounded the pending
10 MR. CARNEY: Are you excluding -- I'm going to 10 question.)
11 object to the question. It's vague. Are you excluding
11 A Well, you neglected to mention that Dr.
12 from that the evidence that Monsanto gave, the warnings to 12 Drinker said in accordance with this hypothesis. He is
13 General Electric supervisors and plant foremen?
13 speculating. 1 think a hypothesis is a speculation.
14 MR. McCREA: If he considers that evidence, he 14 Q Well, that in accordance with the hypothesis,
15 may.
15 he confirmed that the --
16 MR. CARNEY: Well, 1 don't know what you - 1
16 A It's still a hypothesis there.
17 think it's vague. If that's included, if you're asking
17 Q All right.
18 about that, then 1 think the doctor has knowledge.
18 A Because when you are --
19
MR. McCREA: Well, you want to answer for him?
19 Q All right.
20 MR. CARNEY: No. 1 think that the doctor's
20 A May 1 finish my explanation?
21 already testified that he gave the warnings to the
21 Q 1 would appreciate it if you'd answer my
22 Westinghouse supervisors and the General Electric people. 22 question.
23 The warnings were sent, and he's already described those 23
MR. CARNEY: Well, let him finish.
24 warnings. Are you excluding that from your question?
24 A Well, ask a questions. I'll be happy to ask
25 Otherwise, 1 think it's an unfair question and it's vague.
25 it.
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Pages 33 - 36
LEXOLDMON006950
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1 MR. McCREA: Could you reread the question?
1 been answer. Would the court reporter read the question
2 (Thereupon, the reporter propounded the previous
2 which is probably back about four pages?
3 question.)
3 (Thereupon, the reporter propounded the pending
4 MR. CARNEY: Well, let me object to this.
4 questions.)
5 You're taking -- you're talking about a person now? This
5 A Yes, that's what he says.
6 is a rat experiment.
6 Q (By Mr. McCrea) Dr. Kelly, did Monsanto ever
7 MR. McCREA: Does he say rat? He says if the
7 warn the purchasers of its chlorinated hydrocarbons that
8 individual.
8 individuals with an ordinary disease of the liver could be
9 MR. CARNEY: But - Well, that's what I'm
9 injured by exposure to PCBs?
10 saying. There's a switch there from rat experiment to an
10 A No, it didn't, but that -- Are we talking
11 individual.
11 about what he said? He didn't say that. He said if you
12
MR. McCREA: Did 1 misquote that, Mr. Carney?
12 have an injured liver already, you shouldn't take carbon
13 MR. CARNEY: No. What I'm saying is 1 think
13 tetrachloride or alcohol. If the people followed the
14 you ought to make it clear we're not talking about the Dr.
14 warning statements, they wouldn't get any injury to their
15 Drinker studies, we're not on persons. Is that fair to
15 liver.
16 say? They're on rats.
16 MR. McCREA: We're not talking about that,
17 MR. McCREA: And would you go up to the
17 Doctor. Would you reread the question?
18 previous paragraph and read that, please?"One is forced
18
THE WITNESS: well, 1 answered the question. 1
19 to conclude from the experiments that an average
19 thought.
20 concentration of 0.57 mg per cubic meter inhaled 16 hours 20
MR. McCREA: No, you didn't.
21 daily produces definite slight exchanges in the liver and
21
THE WITNESS: All right.
22 in this organ alone. These changes are resisted
22 MR. CARNEY: 1 disagree. He answered it. You
23 efficiently by the animals and cause no depreciation of
23 just didn't like his answer.
24 health. The situation is not unlike that seen in factories
24
MR. McCREA: No, Mr. Carney.
25 where yellow, where acute yellow atrophy of the liver has
25
MR. CARNEY: It was an answer to your
Page 38
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1 occurred. In the case of such instances, the patients have
1 question.
2 been singled out in some way or other from large groups or 2
MR. McCREA: Ordinary disease of the liver
3 fellow workmen who have been perfectly healthy." Now, is
3 means is separate, entirely separate from exposure to PCBs
4 he talking about rats, Mr. Carney?
4 and carbon tetrachloride and alcohol. It is entirely
5 MR. CARNEY: 1 think he says, "In accordance
5 separate. What this paper says is if a worker has an
6 with this hypothesis, we determine that the dose of 0.75 of
6 ordinary disease of the liver, he can have superimposed on
7 carbon tetrachloride plus 0.75 cc of ethyl alcohol per
7 that an additional injury by exposure to PCB. Secondly, if
8 kilogram of rat was entirely non-toxic to normal animals."
8 a worker is exposed to PCB and then exposed to carbon
9
MR. McCREA: That's correct. Now read the next
9 tetrachloride and alcohol --
10 sentence. Now read the next sentence to the jury.
10 MR. CARNEY: Mr. McCrea, are you asking a
11 MR. CARNEY: Well-
11 question?
12 MR. McCREA: Read the next sentence.
12 MR. McCREA: No, I'm explaining it to you.
13 MR. CARNEY: I'll read the next sentence.
13 MR. CARNEY: You're explaining it to me? You
14 What 1 -- Well, no, I'm not going to read any more of this
14 don't need to explain to it me. 1 don't need your
15 document. Why don't you ask a question instead of just
15 explanations. 1 heard your question. 1 understood it. 1
16 reading out of a document. We've got Dr. Kelly here. Do
16 heard Dr. Kelly's answer and understood it and it was
17 you have a question for Dr. Kelly?
17 responsive to your question. Now, if you have another
18 MR. McCREA: I've had several.
18 question, go ahead and ask it.
19
MR. CARNEY: Okay. Why don't you ask some
19
MR. McCREA: Well, it was not responsive.
20 questions or conclude your deposition? This has gone on for 20 That sentence makes no reference -- Will you please --
21 three days. You promised that a day and a half ago
21 MR. CARNEY: All you're doing -- do you want
22 that you would be done in a day and now you're into your, 1 22 to give the jury -- Why don't you ask the questions and
23 think it's your third day of or third day of cross
23 then give the jury the answers that you want. Is that what
24 examination, you know. Do you have any more questions? 24 you prefer?
25 MR. McCREA: 1 have the last one which hasn't 25 MR. McCREA: No, Mr. Carney.
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Pages 37 - 40
LEXOLDMONOQ6951
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1 MR. CARNEY: That may be the way to do it
1 reread the question.
2 because you seem to want to explain how the answer should 2 (Thereupon, the reporter propounded the pending
3 have been answered.
3 question.)
4 MR. McCREA: No.
4 A And my answer to it was that would depend
5 MR. CARNEY: Unfortunately Dr. Kelly is the
5 entirely upon the exposure to which the man was, what he
6 one under oath, not you, and 1 think you ought to get some
6 was exposed to in the workplace, and without knowing the
7 testimony from Dr. Kelly.
7 Westinghouse workplace, I'm not in a position to answer
8 MR. McCREA: Break.
8 that question.
9 (Thereupon, a short recess was taken.)
9 Q (By Mr. McCrea) Dr. Kelly, would you consider
10 MR. McCREA: Dr. Kelly, again 1 would like the
10 it an unsafe work practice for the workers at Anniston,
11 court reporter to reread the question so that we may get an 11 Alabama to not have pre-employment physicals to determine
12 answer.
12 if they had pre-existing liver disease before they worked
13 (Thereupon, the reporter propounded the previous
13 with PCBs in the Monsanto Anniston, Alabama plant?
14 question.)
14 A It depends when they came to work. If they
15 A No, sir, we did not because we did not believe
15 came to work in 1960, we wouldn't be concerned about it
16 that the individuals who followed our safe handling
16 because we knew that none of those workers had any problems
17 procedures would be injured by PCBs.
17 during the past 20 years, so we would take somebody who had
18 Q Wouldn't one of the safe handling procedures
18 liver disease.
19 be to advise Westinghouse that it should conduct
19 Q And exposure them to PCBs?
20 pre-employment physicals to determine if there were any
20 A The exposure was not sufficient to cause any
21 liver disease in the prospective workers in accordance with 21 problems.
22 the 1938 information from Dr. Drinker which determined that 22 Q How do you know you had people with liver
23 exposure to PCBs can superimpose injury on a substratum? 23 disease?
24 A 1 want to find the question. What was the
24 A Well, 1 didn't know we had them. You asked -
25 question now that I'm to answer? Would you read the
25That wasn't the question you asked me. Would you repeat
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1 question, please?
1 the question so we know what we're talking about?
2 (Thereupon, the reporter propounded the pending
2 (Thereupon, the reporter propounded the previous
3 question.)
3 question.)
4 A No, because Westinghouse had the same
4 A And my answer was no, it would not be,
5 information we had. They had the same opportunity to have 5 although we did do examinations for everybody that came to
6 that information. They had a sophisticated medical
6 work at the place, but the reason 1 would not consider it
7 organization, they had carried out toxicological
7 unsafe because we had no liver injury during the course of
8 conditions, toxicological experiments on their own on their
8 the manufacturing of PCBs since I've been with Monsanto.
9 product, so they knew as much as we did about it.
9 Q How did you communicate with your workers at
10 Q Dr. Kelly, would you acknowledge to this jury
10 Anniston, Alabama that they were working with PCBs?
11 that it would be an unsafe work practice not to have a
11 Ain safety meetings they told them what the
12 pre-employment physical of a prospective worker to
12 products were.
13 determine if that worker had liver disease before he was to 13 Q Who told them?
14 be exposed to PCBs?
14 A The foreman, the area supervisor.
15 A 1 would have to know the exposure, Mr. McCrea.
15 Q Do you have one piece of documented - Do you
16 1 can't make a statement without knowing the type of
16 have any document which establishes that these workers were
17 exposure of which he might have.
17 told they were working with PCBs?
18 Q The exposure could range from anything from
18 A 1 don't have a document, but 1 think what
19 very slight exposure to perhaps very substantial exposure. 19 Monsanto's procedure was, were in all the departments they
20 Under those circumstances, will you please answer the
20 had. They had regular safety meetings. They had regular
21 question?
21 manufacturing meetings with the workers, and they told them
22 MR. CARNEY: Objection to the form of the
22 what the products were and they told them how to avoid
23 question, vague.
23 problems.
24 A It question is, as 1 understand it --
24 Q Did you, Dr. Kelly, ever stand in front of a
25 MR. McCREA: Let's let the court reporter
25 group of workers in Anniston, Alabama and explain the risk
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Pages 41 - 44
LEXOLDMONOQ6952
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1 associated with exposure to PCBs to the workers?
1 complete and thorough housekeeping. You must" --
2 A Well, first of all, at our plants we didn't
2 Q That's not my questions, Dr. Kelly. My
3 have any risks, so the answer to your question is no.
3 question is: What risks did you explain to them before they
4 Q Did you ever stand before the workers at
4 got chloracne, not after?
5 Sauget, Illinois or East St. Louis and explain to risk of
5 A We didn't know they were going to get
6 exposure to PCBs?
6 chloracne until chloracne showed up.
7 A Yes, 1 explained that to the people 1
7 Q All right. What other problems showed up with
8 examined. 1 explained why we were examining them and 1 was
8 those workers in Nitro, West Virginia who were exposed to
9 explaining to them what our experience had been in the past
9 the chlorinated hydrocarbons?
10 and that's, and 1 wanted to examine them to find out if my
10 A Well, there again, Mr. McCrea --
11 belief was correct. So the answer to your question is yes.
11 MR. CARNEY: Again stipulating that this is
12 1 didn't stand before them. 1 sat down before, with each
12 not a PCB?
13 one.
13 MR. McCREA: Stipulated.
14 Q What risks did you explain to them were
14 A And you were saying -- We had problems at
15 associated with exposure to PCB?
15 Nitro, West Virginia from an explosion that caused the
16 A If you get too much on your skin for prolonged
16 formation of dioxins, and 1 didn't tell these people,
17 periods of time, if you inhale material at elevated
17 "Look, if we have an explosion, here are the risks you're
18 temperatures, you are liable to get chloracne. We have not
18 going to have."
19 had any chloracne, but that is the hallmark of PCB, adverse
19 Q (By Mr. McCrea) What other problems did those
20 effects.
20 workers have? Just a second.
21 Q You never-
21 A Well, those --
22 A 1 also said if you get too much you are
22 Q In addition to chloracne in Nitro, West
23 liable, there's a possibility that you may get a chemical
23 Virginia?
24 hepatitis.
24 A The problems that the people had at Nitro,
25 Q Did you have chloracne at Nitro, West
25 West Virginia in addition to chloracne were those that
Page 46
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1 Virginia?
1 resulted from the uncontrolled reaction which you could
2 A Yes, sir.
2 call an explosion which blew the content of the material
3 Q And what risks did you explain to the workers
3 out of the, out of the vessel on to the roof. The people
4 at Nitro, West Virginia before they got the chloracne?
4 developed chloracne. They developed peripheral neuritis.
5 MR. CARNEY: It this -- You agree this is not
5 Q What else?
6 a PCB plant, isn't it?
6 A I'll have to go back. 1 don't -- Those are
7 MR. McCREA: Chlorinated hydrocarbon.
7 the two prominant ones that 1 remember.
8 MR. CARNEY: But no PCBs were ever made at
8 Q Well, Doctor, that situation doesn't slip your
9 Nitro.
9 mind, does it?
10 Q (By Mr. McCrea) Stipulated. What risks did
10 A Well, it doesn't slip my mind, no, but we had
11 you explain to the workers at Nitro, West Virginia before
11 a number of people with different symptoms. I've told you
12 they got chloracne?
12 the two prominent ones, peripheral neuritis and chloracne.
13 MR. CARNEY: Objection on the grounds of
13 Q Did they have fatigue?
14 relevance.
14 A Well, that's not a condition. That's a
15 A Now, let us explain. What risk did 1 explain
15 symptom.
16 to the workers who were working with an agricultural
16 Q Well, did they have fatigue as a symptom?
17 chemical not even close to PCB, not remotely connected?
17
A Some did, some didn't.
18 Q (By Mr. McCrea) Much more hazardous; correct?
18 Q Did they have vertigo as a symptom?
19 A It depends. There are all varieties. Yes,
19 A It was not prominent in my recollection.
20 this is an agriculture chemical which is a weed killer.
20 Q Did they have loss of libido?
21 Q Explain what risks you explained to those
21 A Some did, some didn't.
22 workers. Explain the risks that you communicated with
22 Q The same as the black worker reported in 1933?
23 those workers?
23 MR. CARNEY: Well, let me object to the form
24 A 1 said to those workers, "There have been
24 of that question.
25 chloracne cases in this plant. You must exercise complete, 25
A 1 cannot answer that because 1 don't know how
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Pages 45 - 48
LEXOLDMONOQ6953
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1 much loss the black worker had, and 1 don't know how much 1
Q How do you explain that these individuals
2 loss these workers had, whether it was five percent, ten
2 experienced pain in their joints as a result of exposure to
3 percent or a hundred percent loss.
3 the agricultural chemical?
4 Q (By Mr. McCrea) The black worker reported
4 A They received -- They developed the pains in the
5 loss of libido; correct?
5 joints in response to the combustion products of the
6 A Yes. How much loss? Five percent? Ten
6 uncontrolled reaction. It was not the agricultural
7 percent? Hundred percent? 1 don't know. He had some loss 7 chemical at that time, so --
8 of libido. That's what he reported.
8 Q Could --
9 Q And the workers in Nitro, West Virginia
9 A If they had peripheral neuritis, they would
10 reported loss of libido; correct?
10 get pains in the extremities. The joints presumably that
11 A Yes, some did.
11 they complained about were in the extremities.
12 Q Did they also report painful joints?
12 Q So you are tying in the mechanism by which
13 A It was not a prominent symptom.
13 they experienced pain in their joints with the peripheral
14 Q Did they report it?
14 neuropathy which is the demyelinization of the coating of
15 A 1 don't know whether they reported it. If
15 the nervous of the extremities?
16 they had peripheral neuritis, maybe they did have pains
16 A That is one of the causes, yes.
17 around their joints.
17 Q And how does this chemical cause the coating
18 Q What else did they report?
18 to demyelinize?
19 A If you will show me the medical reports 1 will be
19 A 1 don't know.
20 happy to give you the symptoms they reported, but...
20 Q Was there any investigation of that with
21 Q And that was a result of exposure to dioxin;
21 neurologists or specialists in the field of medicine?
22 correct?
22 A In our workers?
23 A Presumably. They were unable to find out what
23 Q As a result of the workers in Nitro, West
24 the products of combustion were at the explosion.
24 Virginia experiencing pain in their joints and peripheral
25 Q Well, now, Dr. Kelly, you know that was
25 neuropathy?
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1 dioxin; correct.
1 A We sent four of them to the Kettering
2 A No, 1 don't know it was dioxin because this
2 Institute where they had biopsies on nerves taken in two of
3 guck that came out and was burned to a crisp was analyzed 3 them. They were completely examined and checked for these
4 and they couldn't analyze for dioxin at that time. The
4 things.
5 supposition is that it was dioxin, but when you say do 1
5 Q What did the biopsy of the nerves indicate?
6 know it was dioxin, 1 don't know it.
6 A It showed demyelination of the nerves.
7 Q Do you know what quantity of chemical they
7 Q And did the doctors at Kettering Institute
8 were exposed to? Do you know the dose response?
8 explain to you how this chemical from the combustion could
9 A Let's have two, that divided into two
9 demyelinize the nerves in the peripheral area?
10 sentences, two questions, please.
10 A 1 don't believe they knew.
11 Q Yes. Do you know the dose response?
11 Q Demyelinization means that the nerve cells
12 A Of what?
12 became necrotic.
13 Q The chemical to which they were exposed which
13 A No, it doesn't. It means that the covering of
14 caused chloracne, loss of libido, dizziness, peripheral
14 the nerve loses its, the coating of the nerve loses it, its
15 neuropathy. Let me go through this list. Fatigue,
15 -- Well, the coating gets destroyed.
16 vertigo, loss of libido, pain in the joints, peripheral
16 Q So Monsanto was never able to determine the
17 neuropathy and chloracne.
17 chemical which caused those number of problems?
18 A The dose response was not able to be
18 A That is not correct. 1 said the ones, the
19 calculated because we had men who were cleaning the
19 severe ones who had the peripheral neuritis, who had severe
20 galvanized roofing and scraping off this black carbonaceous 20 chloracne were the ones who had worked at the time of the
21 tar. How much they got absorbed through their clothes 1 do 21 explosion. We did have chloracne from the general
22 not know, but there was quite a lot.
22 manufacturing run of the material, and to the best of my
23 Q They were up on the roof?
23 recollection, those were not accompanied by those dire
24 A They were up on the roof and they were up
24 complaints that you mentioned.
25 below the roof.
25 Q Were there also long-lasting problems
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
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1 affecting the brain?
1 A Well, it was definite in the other cases.
2 A No, not --
2 Q For explosion?
3 MR. CARNEY: Again just for the record, we're
3 A We suspected. We were never able to prove it.
4 not talking about PCBs here.
4 Q So dioxin was suspected, but never proven as
5 MR. McCREA: Chlorinated hydrocarbons,
5 a causative agent in the workers subjected to the
6 presumably dioxin which is a contaminant of certain PCB
6 explosion?
7 compounds as he earlier testified.
7 A 1 don't know when it was suspected. 1 mean,
8 MR. CARNEY: No, 1 think you've
8 I'm not exactly sure. The date of the explosion is
9 mischaracterized the record, but 1 just think the record
9 something, in 1959 or something like that.
10 ought to be clear that you're spending a lot of time now
10 Q '49?
11 talking about an entirely different chemical, an
11 A It was it'49?'49. Well, 1 don't believe there
12 agriculture chemical, not a PCB.
12 was methods of checking for dioxin at that particular time.
13 Q (By Mr. McCrea) Dr. Kelly, was dioxin which
13 I'm not sure.
14 is a PCB with two oxygen atoms added, was it implicated in 14
Q All right. You may have answered the
15 the cause of the illness of the workers in Nitro, West
15 question, but 1 don't think 1 understand it. Was dioxin
16 Virginia?
16 implicated in the serious conditions of the workers who
17 A Now, we're dealing with two conditions when
17 were subjected to the explosion?
18 you talk about illness. There was an explosion which
18 A Well, if by implicate you mean was it proven,
19 started the situation. We had that. We did not -- We were 19 it wasn't proven.
20 unable to analyze the material for dioxin because as 1
20 Q No, no, no, suspected.
21 said, it was completely charred much like a, oh, coagulated 21
A Well, that's a before word.
22 hunk of ashes, and they were unable to find out whether
22 Q Well, let's change the word to suspected?
23 there was dioxin in it, and 1 don't know if the mechanism,
23 A It was suspected post hoc, after the
24 if the analytical method for running dioxin was available
24 situation. It was not suspected at the time of the
25 at that time. We were able to find that dioxin was present
25 explosion.
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1 in the agricultural chemical at Nitro, West Virginia and
1 Q All right.
2 sometime after the explosion in the regular manufacturing
2 A It was not suspected when the first people
3 run.
3 broke out with the chloracne.
4 Q Was it implicated as a causative agent of the
4 Q Do you feel it was the probable cause of the
5 health symptoms and problems suffered by those workers?
5 workers who experienced chloracne, fatigue, vertigo, loss
6 A Well, now again, what health symptoms and what
6 of libido, pain in their joints and peripheral neuropathy?
7 problems?
7 MR. CARNEY: Objection to the form.
8 Q Chloracne?
8 THE WITNESS: Would you repeat that question?
9 A Chloracne, yes.
9 (Thereupon, the reporter propounded the pending
10 Q Peripheral neuropathy?
10 question.)
11 A No, that was not present in the workers who
11 A It might have been.
12 were not exposed at the explosion.
12 Q (By Mr. McCrea) You can't say it's probable?
13 Q No, I'm talking about the ones who were
13 A Because we didn't find it. We were unable to
14 exposed to the explosion.
14 look for it.
15 A Well, 1 am trying, Mr. McCrea, to clarify two
15 Q So all you can say is it might have been the
16 situations which you are throwing in the same bundle. 1
16 cause?
17 said we had an explosion during a reaction of the making
17 A That's correct.
18 the agricultural chemical. As a result of the clean up, we
18 Q Do you feel that dioxin was the probable cause
19 developed several, a number of people developed very
19 of the chloracne in the regular work force who were not
20 serious conditions. Those are the ones that had peripheral 20 exposed to the explosion?
21 neuritis and severe chloracne. Those are the ones that we 21
A That and wherever other impurities might have
22 did biopsies on the nerves. Then we had chloracne in
22 been present in the 245T.
23 varying degrees in a number of individuals in the regular
23 Q Did you talk with a doctor from Germany about
24 work force. Dioxin was suspected in those cases.
24 a similar episode at BASF, Dr. von Oettel?
25 Q Which cases, the --
25 A 1 talked with him once, and 1 don't know what
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
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LEXOLDMONOQ6955
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1 his episode was.
1 any of his findings?
2 Q Can you describe for us the health problems
2 A You mean ever in my life?
3 experienced by the workers at BASP in Germany as a result 3
Q Yes, sir.
4 of a similar type explosion in the manufacturing of the
4 A No, 1 did not write him, but 1 challenged them
5 agricultural chemical?
5 on the phone.
6 A No, sir, and 1 don't even know if Dr. Oettel,
6 Q Which findings did you challenge on the phone?
7 O-e -
7 A 1 challenged him on the phone that he reported
8 Q 1 have it von Oettel, v-o-n capital
8 findings on chlorinated diphenyl, and 1 did not believe it
9 O-e-t-t-e-l?
9 was a chlorinated diphenyl.
10 A Well, he didn't use the von when 1 was talking
10 Q Did you challenge him as to any other findings
11 to him.
11 in any of the reports which he provided to Monsanto under
12 Q All right, sir. Can you describe their
12 contract?
13 symptoms?
13 A First of all, 1 don't believe 1 would use the
14 A No, 1 can't at this date. 1 don't know if he
14 word challenged to talk to a scientist. 1 wouldn't say
15 read an article on it or not.
15 challenge. It seems to me that you say, "Look, 1 think
16 Q But he did come to St. Louis, Missouri to talk
16 you're completely off base on this." 1 may have discussed
17 to you?
17 parts of the report and 1 may not have. 1 have no
18 A Not because of that. He came for other
18 recollection of what happened 50 years ago.
19 reasons. 1 don't know what he came -- he was over here at 19
Q If a worker from the Bloomington Westinghouse
20 some particular meeting. He did not come over to talk
20 plant called you in 1958 and informed you that he had liver
21 about the BASP explosion because 1 don't know if they had 21 disease, hepatitis and asked you if he could work in PCBs,
22 it at that time or maybe it was before. 1 don't know, but
22 what would you have told him?
23 it wasn't -- 1 don't recall it was written up.
23 A 1 would say, "Look, 1 cannot diagnose you from
24 Q Did you desire information about the situation
24 Missouri. Go and see your family doctor. See a good
25 at BASP in that your workers at Nitro, West Virginia had
25 specialist if you have one. See your family doctor," and
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1 experienced these problems as a result of an explosion of
1 then 1 would call the plant manager at Bloomington and say,
2 this agricultural chemical?
2 "1 understand you have a man who is alleging exposure to
3 A Well, 1 don't know. 1 don't remember when 1
3 PCBs and says he has liver problems. 1 think this should
4 talked to him. 1 don't remember if 1 talked to him before
4 be investigated.
5 our explosion or after our explosion. 1 don't know.
5 Q All right, sir. If a worker called you from
6 Q That's not it question.
6 Bloomington, Indiana in 1958 and informed you that he was
7 A Well, what was the question?
7 going to work in a department which had PCBs and carbon
8
MR. McCREA: Could you read the question back?
8 tetrachloride, what would you tell him?
9 (Thereupon, the reporter propounded the previous
9 A Again 1 would tell him, "1 cannot make any
10 question.)
10 decisions as far as your workplace is concerned." There is
11 A Well, 1 said 1 don't remember whether it was
11 a supposition that you were giving me. 1 would certainly
12 before our explosion or after our explosion, so 1 can't
12 say "The carbon tetrachloride is, you should not be
13 answer the situation. If it was before out explosion, 1
13 exposed to that whether you have liver disease or not."
14 couldn't very well have talked to him about an explosion
14 They don't even let secretaries clean off their typewriters
15 that was going to happen in the next six months.
15 with carbon tetrachloride. It's a bad actor. 1 would say,
16 Q (By Mr. McCrea) Did you change the workplace
16 "This is a question you'd have to ask your supervisors.
17 passes at Nitro, West Virginia as a result of the
17 I'll be happy to talk to any of your supervisors, but 1
18 chloracne?
18 don't know anything about your workplace."
19 A Yes.
19 Q If he called you in 1958 and asked you if
20 Q With regard to the work done by Dr. Drinker
20 there were any special risk in exposure to carbon
21 which we have discussed, did you sit down with him and
21 tetrachloride if he had a contemporaneous exposure to PCBs,
22 review his reports in detail?
22 what would you tell him?
23 A 1 may have called him on the phone. 1 do not
23 A Again 1 would say, "It depends on how much
24 believe 1 went up to Cambridge.
24 exposure you have to carbon tetrachloride. It depends on
25 Q Did you ever write Dr. Drinker and challenge
25 how much exposure you have with PCBs. 1 can't quantify
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1 those. This is a situation that you have to talk over with
1 Q (By Mr. McCrea) 1 think we're prepared to
2 your own plant medical department," and 1 would call the
2 stipulate to that fact.
3 Westinghouse people and say this is what this man said and 3
A Well, yes, but 1 want to be clear, Mr. McCrea,
4 1 would talk to the doctor and give him my thoughts.
4 because you've mentioned all these things and it's easy for
5 Q If he asked you if there were special risks
5 somebody on the jury to get the impression that there was a
6 irrespective of exposure, what would your answer be?
6 hot line between Bloomington and myself.
7 MR. CARNEY: Well, I'm going to object to the
7 Q Well, 1 appreciate your clarifying that for
8 form of the question.
8 the jury and we will stipulate that no worker ever called
9 A That is a question if there were no,
9 you or had your phone number.
10 regardless of exposure?
10 A Thank you.
11 Q (By Mr. McCrea) Right.
11 Q If he called you and said, "I'm exposed to .5
12 A If there's no exposure, there's no risk. Is
12 milligrams per cubic meter of PCB and .5 milligrams of
13 that what you're saying?
13 carbon tetrachloride per cubic meter," what the would your
14 Q Right. What it there's slight exposure to
14 answer be as to whether or not those exposures presented
15 PCB?
15 any special risk?
16 A Well, it depends how much there is and how
16 MR. CARNEY: Well, I'm going to object. You
17 much exposure there is to carbon tetrachloride.
17 just mentioned some numbers without saying how. Was it
18 Q You can't answer the question?
18 fumes? You know, what confined space? Was there
19 A Yes, 1 can answer the question. Give it back
19 ventilation system? Was he putting his head in it? Was he
20 to me.
20 putting his feet in it? 1 don't know what the exposure is,
21 MR. McCREA: All right. Read it back.
21 so it's vague.
22 MR. CARNEY: Well, just for the record before
22 A Well, 1 have to say to him, "Monsanto does not
23 it's read back, 1 certainly heard an answer. Maybe I'm
23 manufacture carbon tetrachloride. 1 am not familiar with
24 hearing things today, but 1 heard a question and 1 heard an 24 the maximum allowable concentration or the TLV if there was
25 answer to the question, and 1 don't think, Doctor, just
25 one in 1958, but 1 will be happy to look it up and talk to
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1 because he asks that the question be read back you're
1 your people about it, but this is really a question for
2 obligated to give him a different answer or expand upon it.
2 your own organization, not Monsanto. I'll be happy to
3 You can if you want to, though. Read the question and the
3 discuss it with your manufacturing group or your medical
4 answer.
4 group." 1 do not believe that 1 would have, would discuss
5 (Thereupon, the reporter propounded the previous
5 it with the worker.
6 question and answer.)
6 Q (By Mr. McCrea). Did you ask Dr. Drinker what he
7 Q (By Mr. McCrea) 1 said slight exposure.
7 felt would be a safe level of PCB and carbon
8 Doctor, let me clarify the question. What if the worker
8 tetrachloride with regard to worker exposure when he
9 called you and said, "1 have a slight exposure to PCB and a 9 provided you with this informations on page 43 and 44?
10 slight exposure to tetrachloride"? Is there any special
10 A No, sir.
11 risk with that combined exposure?
11 Q Of Plaintiff's Exhibit Six?
12 MR. CARNEY: Objection to the form of the
12 A No, sir. 1 did not, but remember, the kind of
13 question. It's vague.
13 exposure he gave those rats, that's completely different
14 A Well, yes, 1 would answer this way. 1 would
14 from the kind of exposure you get in industry. Carbon
15 say to him, "1 to not know what you mean by slight exposure 15 tetrachloride is gradual by inhalation. Here they
16 to these two chemicals. This is a situation for your own
16 gave these rats a good size slug of the material by mouth
17 manufacturing and medical organizations. I'll be happy to
17 all in one insult. So 1 would not expect that condition to
18 talk with any of them and give them any information that 1
18 obtain in industry.
19 have." And 1 might say in answer to all those questions, 1
19 Q Would you go to page 43 and read the caption
20 never received a telephone call from any Westinghouse
20 on that page and tell me if we're talking about giving rats
21 worker at Bloomington. 1 mean, 1 just, all these
21 a slug through the mouth? What is the caption on the top
22 questions, there is an if in there, if somebody did this,
22 of page 43?
23 but just for the mind of the jury, 1 never received any
23 A "Results of Inhalation Experiments," but --
24 questions or telephone calls or letters from any worker in
24 Q Dr. Kelly, does this document talking about -
25 the Bloomington, Indiana Westinghouse plant.
25 MR. CARNEY: Wait a minute. You just, you
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
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LEXOLDMONOQ6957
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1 interrupted him. 1 think he -- let him finish this answer
1 should answer that question. I'll be happy to talk to
2 and then you can ask another question.
2 them."
3 A Yes. Look what he says in the last paragraph.
3 Q Dr. Kelly, if a worker called you in 1958 and
4 "In accordance with this hypothesis, we determined that a
4 asked you if it was safe for him to drink four to six cans
5 dose of .75 cc's of carbon tetrachloride plus 7.5 ethyl
5 of beer a day if he worked an eight hour shift exposed to
6 chloride per kilogram to rat was entirely non-toxic.
6 PCBs, what would you tell him?
7 However, when this dose was given to animals" -- a dose.
7 A I'm say, "What is the exposure?"
8 He's not talking about inhaling this stuff. He's giving
8 Q .5 milligrams per cubic meter plus dermal
9 them this in a cocktail, a slug of this stuff by mouth.
9 exposure.
10 Q Was the chlorinated hydrocarbon given to the
10 A How much dermal?
11 rat by cocktail form? Was the PCB given to the rat by
11 Q Hands, forearms, legs.
12 cocktail form?
12 MR. CARNEY: Yeah, but you haven't said, is
13 A Tetrachloride is also a chlorinated
13 this constant.
14 hydrocarbon.
14 MR. McCREA: Constant.
15 Q Was the PCB given to the rat by cocktail form? 15 MR. CARNEY: The legs?
16 A No, it was not.
16 MR. McCREA: Right.
17 Q As described by Dr. Drinker on page 43?
17 MR. CARNEY: So he's constantly got PCBs on
18 A No, sir.
18 his legs and his arms, and he's breathing it constantly for
19 Q On Plaintiffs Exhibit Six?
19 how long a period of time?
20 A No, sir, but you were asking me previously,
20 MR. McCREA: Eight hours a day.
21 you were including the doses of carbon tetrachloride and
21
MR. CARNEY: For how many years?
22 alcohol under results of inhalation experiments, and that
22 Q (By Mr. McCrea) That wasn't incorporated into
23 wasn't correct. That's why 1 corrected you on it.
23 the question. What would your answer be?
24 Q All right. It was inhalation of PCB?
24 THE WITNESS: Let me have the question.
25 A That's correct.
25 (Thereupon, the reporter propounded had pending
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1 Q And it was an injection?
1 question.)
2 A No, it was by mouth, a dose of the stuff.
2 A 1 would say to him one, 1 think eight cans a
3 Q But there's no question that the PCB was
3 beer are not good for anybody.
4 inhaled?
4 Q Four to six.
5 A No, of course not. There's no question about
5 A Oh, four to six? Well, maybe 1 wouldn't say
6 it.
6 that then. 1 would also say, "You should not have your
7 Q So if the working called you in 1958 and
7 arms, legs, clothes contaminated for eight hours a day with
8 informed you that they had measured the ambient levels of
8 PCBs." 1 would say then the answer, first of all, that
9 PCB in the air which he breathes and the ambient levels of
9 should not be done whether you take one can of beer or no
10 carbon tetrachlorides in the air which he breathes and that 10 cans of beer. That should not be done.
11 both results were .5 milligrams per cubic meter and if
11 1 would say to him then, "It depends on your
12 there were any special risks, what would you tell him?
12 physical condition, what, what are, what examination, what
13 A I'll repeat what 1 said before. We --
13 would an examination of you show? 1 don't know how 1 can
14 Monsanto did not make carbon tetrachloride. 1 do not know 14 advise you on this, but 1 will advise you that that type of
15 what the safe level of carbon, the maximum concentration, 15 contamination is wrong, should not be done. We warn
16 allowable concentration of carbon tetrachloride was in
16 against it.
17 1957. 1 don't know where you got it figure of .5
17 Q Did you ever warn against the contamination of
18 milligrams per cubic meter. That may be correct, it may
18 alcohol with regard to workers exposed to PCBs in the
19 not, but 1 would have to tell them, "Look, you were talking
19 history of Monsanto from 1936 through 1990?
20 about working conditions in the Westinghouse plant. 1
20 A Not that 1 can recall, no, sir.
21 don't know whether, what these levels, that accuracy -- not 21
Q And you would have given this worker no such
22 the accuracy of determining it, but whether these are peak 22 warning of the combined effect. You would have said
23 levels, whether these occur all the time. This is a
23 "Drinking can be bad for you, PCBs can be bad for you," but
24 question for your manufacturing people and your, and your 24 you would not give him a warning that the combined exposure
25 medical people. You should not -- That's the people who
25 to PCBs and consumption of four to six can of beer a day
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
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1 could have adverse effects?
1 answered the question.
2 A 1 would have said, "You have got to avoid this
2 MR. CARNEY: That's your opinion. 1 disagree
3 type of exposure to PCBs so that you could drink four to
3 with you and 1 think probably Dr. Kelly thinks he's
4 six cans, if that's what you want to do."
4 answered it, but let's not debate that. 1 don't think
5 Q You would have said nothing about the combined
5 we'll ever agree on that. I'm not going to dispute that.
6 effect?
6 You believe that he didn't answer. 1 believe he did, and 1
7 A 1 would have said "You do not, you should not
7 think Dr. Kelly believes he did answer it.
8 have this type of exposure, period."
8 MR. McCREA: Then I'll certify that question
9 Q Dr. Kelly, in a yes or no answer, would you
9 to the Court for a ruling. So that we understand the
10 have given him a warning as to the health consequences of 10 question, would the court reporter please read it back with
11 the combined effect of the exposure to PCB and the
11 the understanding that your objection is valid, that he may
12 consumption of alcohol?
12 answer it without simply a yes or no. Would the court
13 MR. CARNEY: And he's got to give a yes or a
13 reporter please read the question back as to the combined
14 no answer?
14 effect and then 1 want to listen to that question one more
15 MR. McCREA: Correct.
15 time.
16 MR. CARNEY: 1 object to that and 1 instruct
16 MR. CARNEY: Okay. Before we listen to the
17 you not to answer that because that's an improper question. 17 question one more time, I'm going to allow the doctor to
18 1 don't think you're entitled to say that the doctor has to
18 answer it one more time. 1 think he's answered it, and if
19 answer in only two answers, yes or no, and because of that 19 he wants to answer it, my answer stands. That's perfectly
20 I'm not going to allow the answer. 1 don't think you can
20 acceptable, but I'm, in order to avoid instructions, 1 will
21 instruct a witness how to answer your own question. 1 know 21 allow the question to be read back and if the doctor thinks
22 you'd like to, but it's not proper. 1 think it's very
22 he needs to elaborate or change his answer or add something
23 improper. 1 think you know it's improper and you know a
23 to it or stand on it or whatever, he's free to answer it in
24 court will not allow you to say that you can only answer
24 any way he can.
25 that yes or no and give no other answer. I've never heard
25
(Thereupon, the reporter propounded the previous
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1 of that being done and 1 think you know that's improper.
1 question.)
2 MR. McCREA: I'll accept the validity of your
2 A Is that the question?
3 objection. Would the court reporter please read the
3 Q (By Mr. McCrea) Yes, sir.
4 question, and then you may answer it in any manner which 4 A 1 might and where might not. 1 would ask him,
5 you desire without a yes or no answer. 1 have not received
5 "What exposure do you have? How long have you been -- Is
6 an answer to this question.
6 this a common practice for you to have four to six cans of
7 MR. CARNEY: Well, 1 disagree. You've asked
7 beer a day? Do you have any illnesses? Have you" -- 1
8 it three or four times now, at least, and you've gotten an
8 would go in to some medical history with him and then 1
9 answer three or four times.
9 would say, "1 believe this is a question for somebody who
10 MR. McCREA: Not as to the combined effect.
10 knows more about your exposure than 1 do." 1 would not be
11 MR. CARNEY: You've asked the question, that 11 able to give him a frank yes or no.
12 question three or four times, 1 believe.
12 Q (By Mr. McCrea) Dr. Kelly, if he asks you if
13 MR. McCREA: I'd say four or five or six
13 there was any special risk in consuming alcohol if he were
14 times.
14 exposed to PCB in the workplace, what would you tell him?
15 MR. CARNEY: Okay. I'll go along with four to
15 A I'd say, "How much exposure did you have?"
16 six, and if 1 can, 1 don't know your entitled to just
16 Q All right.
17 continue to ask the question because you don't like the
17 A If you have, That's -- well -
18 answer. You've been doing that for some reason today and 1 18
Q We've been through -
19 don't understand it, but at any rate, 1 think you've got to
19 A We've been throw this,but that's the key
20 ask new questions. 1 don't like to instruct a witness not
20 point.
21 to answer, but when it gets so repetitive, I'm really
21 Q What exposure would you consider - what is
22 getting at my, to my limit here of tolerance for the
22 the exposure, Dr. Kelly, that you would consider sufficient
23 repetition that's going on.
23 to then warn against the consumption of alcohol? You
24 MR. McCREA: Tom, there's nothing about the
24 explain it to me?
25 answer 1 don't like. What 1 don't like is he hasn't
25 MR. CARNEY: Objection to the form. 1 don't
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
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1 think you've given him enough facts to answer the question. 1 did you have one procedure in place in East St. Louis and
2 A 1 would say the exposure is if an individual
2 not in place in Anniston?
3 has, wears contaminated clothing during his work shift, if
3 A Because the change of clothes every day and
4 he's exposed to regular atmospheric concentrations three or 4 the time allowed for bathing was negotiated by the union at
5 four times the maximum allowable concentration, 1 would
5 Krummrich plant for almost all the workers. It was not
6 believe that if that continues he should not -- 1 would
6 done for medical reasons. It was negotiated by the union.
7 also believe that if he has any changes in his liver
7 They were very happy to have 15 minutes off whether they
8 enzymes, then he should not drink alcohol.
8 took the shower or not. Anniston it was not a part of the
9 Q Thank you, Doctor. Would you turn to page 46,
9 union contract.
10 please?
10 Q Do you know --
11 A Yes, sir.
11 A 1 repeat, it was not done for medical reasons.
12 Q Can you identify that document?
12 Q Do you consider taking clothes home which have
13 A It's a "Process for the Production of
13 been contaminated with PCB as an unsafe practice?
14 Aroclors, Pyranols, Etc. at the Anniston and at the
14 A Again you'll have to tell me what they, how
15 Krummrich Plant", Krummrich plant being Sauget, also being 15 much they were contaminated, what they did with it, do they
16 East St. Louis.
16 to this every day. 1 mean, if you define those, I'll be
17 Q Would you turn to a page 49?
17 happy to answer it.
18 MR. CARNEY: When you ask-just so the
18 Q Five ounces of PCB spread uniformly over the
19 record is clear, are you, have you asked the doctor if he's
19 clothing, would you consider that as unsafe practice?
20 familiar with the document?
20 A What do they do with it when they get it home?
21 Q (By Mr. McCrea) 1 don't believe 1 did. Are
21 Q They wear it, put it in the family wash.
22 you familiar with this document, Dr. Kelly?
22 A Wash it? No, 1 don't think that's unsafe.
23 A Well, 1 think I've seen it little earlier in
23 Q Do you know it's unsafe for the worker to
24 this deposition. I've thumbed through it.
24 wear that clothing without laundering it?
25 Q All right, sir?
25 MR. CARNEY: For one day or one hour?
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1 A This was -- 1 don't see my name on any of the
1 MR. McCREA: For a week.
2 card, the distribution list. This is pretty much in all
2 A It might. It might. We advise against it in
3 English, our English plant.
3 our labels.
4 Q This is a process for the production of
4 Q (By Mr. McCrea) And you did something against
5 Aroclors, Pyranols, etc. at the Monsanto Anniston, Alabama 5 it in East St. Louis, but not at your plant in Anniston,
6 plant and the William G. Krummrich plant in East St. Louis
6 and you've explained that. The union insisted on that?
7 or Sauget, Illinois?
7 A I've explained that and 1 said we did not --
8 A That's correct, but it's written by a man who
8 First of all, we did not have five ounces of PCBs on our
9 was from our English company, and as you see it, London,
9 workers' clothing at the East St. Louis plant. We didn't
10 Newport, Newport. Newport is in the United Kingdom.
10 have that, and 1 also said we did not have that change of
11 Newport, Ruabon, that's in Wales, so ...
11 clothing routine put in for medical reasons. That was --
12 Q Have you read this document as part of your
12 They're two entirely different plants. They have two
13 duties as medical director for Monsanto Company?
13 entirely different unions. They have two entirely
14 A 1 don't know if 1 ever saw it. 1 may or 1 may
14 different set of fringes, and this is what they considered
15 not. 1 don't happen. 1 didn't get a copy of it.
15 a fringe. It was any number, probably 70 percent of the
16 Q Would you turn to page 49, please?
16 workers. 1 think by the time 1 left 100 percent of the
17 A 1 have.
17 workers got clothing changes.
18 Q In paragraph three under Roman numeral nine,
18 Q Where?
19 "Hazards", subheading "Toxicity", states: "From the start
19 A With may very well have been at both.
20 of Aroclor manufacture at the Krummrich plant, the
20 Q Did they get changes at Bloomington,Indiana?
21 operators have been supplied a clean change of clothes
21 A 1 haven't the slightest idea.
22 every day, and time has been allowed at the end of the
22 Q Did you ever warn that they should have a
23 shift for bathing. Operators are advised to wash hands and 23 change of clothes at Bloomington, Indiana?
24 face before eating. In Anniston operators do not have the 24 A No, sir, because 1 did not know -- First of
25 same issue of clean clothes." My question to you is: Why
25 all, 1 did not think it was my business. Secondly, if they
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Pages 73 - 76
LEXOLDMON006960
Page 77
Page 79
1 followed the directions, they didn't need to get a change
1 has a caption and is the commencement of a separate
2 of clothes.
2 article. 1 cannot explain the captions. We got this from
3 Q Would you turn to page 50?
3 your company. We got this from Monsanto.
4 A Yes, sir.
4 MR. CARNEY: Well, you got this document as
5 Q Are you familiar with that document?
5 well as lots of documents from Monsanto and, you know, 1
6 A I've seen it. 1 don't know when 1 saw it.
6 haven't committed to memory all of them, and unless we can
7 Q Do you know the gentlemen on the upper
7 get the witness to identify that he's familiar with this
8 right-hand corner, Hamer, Ritchie, Newman, Kulifay, Weddell 8 document, 1 don't know much more that we can do with it.
9 and Marshall?
9 Q (By Mr. McCrea) Dr. Kelly, 1 think we have
10 A 1 know Newman. He was our physician at our
10 two minutes here remaining before the break. Will you
11 London plant.
11 please turn to page 51?
12 Q Do you know any of the other gentlemen?
12 A Yes, 1 have.
13 A The last two names, Wedell and Marshall ring a
13 Q And at the top of the page below the line
14 bell, but 1 don't know what they were doing in 1951 or 1
14 cross the top there's a reference to "The Chemist Analyst,
15 don't really know what their connection was.
15 Volume 36, Number 2, Page 33, J. T. Baker Chemical Company,
16 Q Would you turn -- did you read -- Have you
16 Phillipsburg, New Jersey, September 1947." Then below
17 read this before?
17 that, "On the Toxicity of Arochlors", and then below that,
18 A 1 must have. 1 don't know when.
18 "Robert M. Brown, Chief Industrial Hygiene Section,
19 Q Would you turn to page 51?
19 Division of Health, Department of Public Welfare, City of
20 A Yes, sir.
20 St. Louis, Missouri." Do you recall if when you were
21 Q And do you identify this document?
21 medical director for Monsanto, if you read this sheet of
22 A Well, this is part of the same document, it
22 paper that is in front of you now?
23 appears to me.
23 A 1 don't recall ever having read it.
24 Q Yes, sir. And the top the caption is Roman
24 Q Do you know Robert M. Brown?
25 numeral 11 - "Hazards, continued"; correct?
25 A 1 knew he worked someplace in the industrial
Page 78
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1 A Yes.
1 hygiene section of the city. 1 would not recognize him as
2 Q Have you read this document while working for
2 on authority on toxicity. 1 thought he was doing
3 Monsanto Company?
3 industrial hygiene work.
4 A Well, 1 really don't know. Hazards,
4 Q All right, sir. Will you read the second
5 continued. Where do you the hazards start? Where's number 5 paragraph?
6 ten? Oh, there's 11 there. 1 mean, Mr. McCrea, we start
6 A Yes, sir. Now, Mr. McCrea, I'll be happy to
7 off with page number 46.
7 read this, but just picking out this, first of all, when he
8 Q Where do you see that?
8 is talking about a melting point bath liquid, he is talking
9 A On page 46. Well, let's go back to 46 in this
9 about putting a beaker or a container of open material.
10 thing, "Process for the Production of Aroclors, Pyranols,
10
MR. McCREA: We need to break.
11 Etc."
11 (Thereupon, a short recess was taken.)
12 Q All right, sir.
12 Q (By Mr. McCrea) Dr. Kelly, again we left off
13 A Okay. We go 46. We've got the process on 47.
13 and you were describing the document on page 51.
14 On 48 we've got the process. Then we jump up to 11
14 A Yes, sir.
15 hazards. 1 presume it's all in the same document.
15 Q Do you recall where we were?
16 Q Correct.
16 A Yes, 1 think so.
17 A 1 presume.
17 Q Would you please continue with that answer?
18 MR. CARNEY: Well, again 1 would -- Since
18 A Yes. 1 forget what the question was.
19 you've indicated that you don't know whether you saw this
19
Q To tell you the truth, 1 forget the question
20 or not why you worked at Monsanto, are you representing
20 and forget what you were saying. 1 was hoping you would
21 this is a complete self-contained document, Mr. McCrea?
21 remember.
22 MR. McCREA: No, I'm not.
22 A Maybe the court reporter could --
23 MR. CARNEY: Okay. 1 don't think it is.
23 MR. McCREA: That would be helpful.
24 MR. McCREA: 1 cannot make that
24 (Thereupon, the reporter propounded the previous
25 representation. It appears that the document at page 51
25 answer.)
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Pages 77 - 80
LEXOLDMONOQ6961
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1 A Yes. In other words, this is an analytical
1 A Well, 1 don't believe 1 can quantify that
2 laboratory that they're talking about. They were you using
2 because it depends on whether you inhale the material at
3 sulfuric acid which is battery acid and they were heating
3 five minutes, ten minutes, half hour. It depends on
4 that up as the heat transfer unit. Of course, from
4 whether it's done according to one milligram per cubic
5 sulfuric acid you get off S02 and you get off some pretty
5 meter, you go five milligrams, ten milligrams, hundred
6 bad stuff. So they were going to use Aroclor.
6 milligrams. Certainly a hundred milligrams would be unsafe
7 So Mr. Brown says whether you are subjected to a
7 for eight hours. Whether it would be unsafe for five
8 possible acute exposure depends on the size of the melting 8 minutes, 1 wouldn't believe so.
9 pot bath. That's how big it is, what the surface area is
9 Q Dr. Kelly, when the author of this article,
10 and caution with which it's used and the temperature which 10 and 1 assume he wrote it, states in paragraph three, the
11 is heated. 1 agree with all those things. With careless
11 last sentence," Scrupulous cleanliness must be insisted
12 handling of the material and the resulting contamination of 12 upon wherever this material is handled," do you agree with
13 the skin etc., etc., the way is left open for the
13 that?
14 producing of dermatitis.
14 A No, 1 don't. 1 don't know what he means by
15 Well, then he says, "Scrupulous cleanliness must be
15 scrupulous. In the first place, this is not an article.
16 insisted upon wherever this material is handled." 1
16 This is very probably a letter to the editor of the, of
17 believe that Mr. Brown is a little overconservative on
17 the, of this particular journal because he's quoting the
18 that. We're not really dealing with a radioactive
18 article and he is - As 1 said, it all depends on what he
19 material.
19 means by scrupulous cleanliness.
20 Now, to get back to -- I'm sorry. 1 should have
20 1 think if it's handle like any industry chemical
21 read the second paragraph. That's what you wanted me to 21 and you clean up the spills and you don't get it on
22 read, wasn't it?
22 yourself and you don't breathe it at elevated temperatures,
23 Q Yes, beginning, "There is a need."
23 1 think if this, when he talks about the material being
24 A "Therefore, to give warning. For the toxicity
24 contamination of the work table surfaces, it doesn't
25 of these compounds has been repeatedly demonstrated, both 25 volatilize at room temperatures, so that's not the problem.
Page 82
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1 from the standpoint of absorption from the inspired air as
1 The problem is if you contaminate your skin and clothing or
2 well as from their effects in producing a serious and
2 if you breathe the material at elevated temperatures.
3 disfiguring dermatitis when allowed to remain in contact
3 Q Would you agree that there should be
4 with the skin." That, of course, is an oversimplification.
4 scrupulous cleanliness with respect to the skin?
5 That isn't what he says.
5 MR. CARNEY: Well, you've just asked the
6 It says, "Since these effects have been repeatedly
6 question, so you've repeated yourself and you're, you know,
7 observed, industrial hygienists have taken care to see that
7 you're talking about -- You've got a question that has
8 the proper controls have been established wherever these
8 undefined terms.
9 product are used. For example, the maximum allowable
9 Q (By Mr. McCrea) When he talks about
10 concentration of chlorinated diphenyl for an eight-hour
10 scrupulous cleanliness, do you interpret that as referring
11 working day is one milligram per cubic meter of air."
11 to the workplace or to the skin of the worker?
12 There's nothing new in all that.
12 MR. CARNEY: Well, let me object here. You're
13 Q All right. Would you agree that that would
13 asking Dr. Kelly to speculate inside the mind of someone as
14 constitute safe practice, what had been stated in paragraph 14 to what he means.
15 two, as far as it goes?
15 MR. McCREA: I'm asking him for his
16 A Well, he says -- 1 don't see the practice that
16 interpretation and if he doesn't -
17 he says.
17 A 1 find it hard to interpret what he means. As
18 Q Eight-hour working day is one milligram per
18 1 said, he talked about contamination of work table
19 cubic meter of air?
19 services, etc. Does he mean by that that should be
20 A Well, that's a safe practice, yes.
20 scrupulously clean, surgically clean like we're dealing
21 Q Would a deviation from that be unsafe?
21 with a radioactive material? 1 don't believe it's anything
22 A It depends on how much a deviant and how long
22 like that.
23 you've deviated from it.
23 "Scrupulous cleanliness is insisted upon wherever
24 Q Describe for us what would be unsafe based on
24 the material is handled." Does that mean if you get
25 how much you deviate and how long you deviate.
25 something on the skin you should immediately wash it off?
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Pages 81 - 84
L EXO L D M O N006962
Page 85
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1 It isn't that toxic. No, you don't have to wash it off
1 A No, sir, it was not unsafe because we never
2 right away. So 1 don't know what he means by scrupulous,
2 had any problems with any illness at Anniston in the PCB
3 and 1 don't believe he's an authority on it in the first
3 department that could be attributed to PCBs.
4 place. Just because this man wrote it, that doesn't make
4 Q Would you consider it an unsafe practice not
5 him an authority.
5 to have emergency showers?
6 Q (By Mr. McCrea) Can you you go to page 52?
6 A Yes. 1 think emergency -- 1 would consider it
7 A Yes, sir.
7 unsafe. 1 think emergency showers should be in all
8 Q Do you see the caption, "Health and Safety"?
8 chemical plants.
9 A Yes, sir.
9 Q Would you consider it unsafe practice for
10 Q And under "Health and Safety" are there
10 workers to eat food in the area of PCB manufacture?
11 paragraphs with quotations?
11 A Well, we considered it inadvisable. Whether
12 A Yes, sir.
12 it was safe or not, 1 can't answer that because, first of
13 Q Do those paragraphs relate to Monsanto
13 all, if there was enough material on the individual's hands
14 material?
14 and they were getting it, it was getting on the food, that
15 A They relate to what Mr. Pennington of Newport
15 was unsafe. If there was enough material in the air so
16 reported in his America tour. He went to Anniston, so it
16 that when they're sitting down for a half hour lunch break,
17 refers to Anniston, yes, sir, and it refers to Plant B
17 they were inhaling material above the maximum allowable
18 which is the Krummrich plant or the Sauget plant or the
18 concentration, that was unsafe.
19 East St. Louis plant depending on what year you're talking 19 Q Would you consider it unsafe not to provide an
20 about.
20 annual medical examination for workers exposed to PCBs?
21 Q Are paragraphs one, two, three, four, five and
21 A It depends again on the exposure. It depends on
22 six descriptive of the conditions at the Anniston Monsanto
22 the history of the plant. If the people had problems in
23 plant and the East St. Louis plant?
23 the PC department, PCB department, they should be examined
24 MR. CARNEY: On December 29th, 1950?
24 at intervals. Whether a year or longer is -
25 MR. McCREA: On December 29, 1950.
25 Q What was the average duration that a worker
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1 A Well, starting right off, 1 don't believe we
1 was employed in the PCB department at East St. Louis,
2 had tins of cold cream around, ointment around there. We,
2 Illinois?
3 as our general policy, we were against using protective
3 A Oh, 1 can't answer that.
4 ointments. We rather would prevent the material from
4 Q How many years do you think was the average
5 getting on the skin by other means rather than try out
5 for a person to work in the PCB department? 1 believe it's
6 protective ointment which never works.
6 number 246 at East St. Louis, Illinois?
7 1 agree when he said that operators were
7 A My guess would be pure speculation, would be
8 sufficiently trained in the need for personal cleanliness.
8 around five years. Don't hold me to that. 1 don't know.
9 1 think, yes, it represent the procedures at Monsanto and
9 Q Would you consider it an unsafe practice not
10 East St. Louis and Anniston. 1 think the word toxic
10 to give employees an annual lung x-ray or -- excuse me -- a
11 department has a connotation that really means something 11 lung x-ray every three years as stated in the last
12 different to everyone else. At East St. Louis -- At the
12 paragraph?
13 East St. Louis plant they called everything toxic so they
13 A Would 1 consider it un --
14 could get under the umbrella of the daily showers and the 14 Q An unsafe work practice to not give employees
15 15 minutes off and the change of clothes.
15 exposed to PCBs a lung x-ray every three years?
16 Q Were the men expected to take a bath in their
16 A No, 1 do not consider that unsafe because 1
17 own time at the end of the shift in Anniston, Alabama?
17 think exposure to PCBs does not cause any problems with the
18 A 1 can't answer that.
18 lungs.
19 Q That statement is attributed to the plant at
19 Q Then why -- This article states that Monsanto
20 Anniston, is it not?
20 gave its employees a lung x-ray every three years.
21 A Yes, that's true. 1 suppose they were
21 A We gave it to all the people.
22 expected to.
22 Q Why did you give it to all the people?
23 Q Would you consider it unsafe if they did not?
23 A Because when you examine a person, you are
24 A At Anniston?
24 looking for not only occupational conditions, but
25 Q Yes, sir.
25 non-occupational conditions. You also have people who
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Pages 85 - 88
LEXOLDMONOQ6963
Page 89
Page 91
1 rotate through various departments, so it was a policy that
1 which states, "The vapors of hot Aroclors are distinctly
2 we gave x-rays where we had an x-ray machine at one, two or 2 irritating to eyes and nose above a concentration of three
3 three years depending on the age of the person. You're
3 milligrams per cbm in air"?
4 looking for the size of his heart. You're looking to see
4 A 1 don't really know what cbm is. 1 mean,
5 whether he has emphysema. You're looking for a lot of
5 that's an English term that 1 don't know, but there's no
6 things rather than if your looking for any changes in
6 question what vapors are irritating to the eye and nose
7 PCBs or sulfuric acid or whatever the man worked with.
7 above, certainly above .5 milligrams.
8 Q Your testimony here today is that the lung
8 Q Did you ever warn that if workers experience
9 x-ray given to the workers every three years was unrelated
9 irritation to their eyes, they are exposing themselves to
10 to potential consequences from the exposure to PCB.
10 excessive levels of PCB?
11 A That's correct.
11 A No, but 1 don't believe if the people, the
12 Q Will you turn, please, to page 53 and address
12 workers have irritation of their eyes and nose they will
13 paragraph three which begins, "Mr. Ellenburg"? Do you know 13 stay around in the atmosphere. They'll get out.
14 Mr. Ellenburg?
14 Q But you did not so warn?
15 A Yes. 1 thought he was an analytical chemist.
15 A Well, 1 can't say that 1 did or didn't, but 1
16 I'm not-
16 think that I'd give the workers credit for common sense.
17 Q Do you know H. B. Richard, Jr. of Monsanto
17 If working in an irritating atmosphere, they get out or
18 Chemical Company?
18 correct what's happening. This will occur usually in leaks
19 A We had a Dr. Richard, Ph.D. Richard who was in
19 or something like that.
20 the research department of MCC. 1 don't know if that's the 20
Q Did you ever warn the workers that they could
21 same man or not.
21 become poisoned if they experienced irritation to their
22 Q Are you familiar with the results of the safe
22 eyes in that that could be an indication of PCB levels
23 limits of Aroclor vapor concentration in air which said
23 above the safe level?
24 test was carried by Kettering Laboratories in
24 A Well, there again you are being too
25 Cincinnati?
25 simplistic. Here they are exposed to this for one, two,
Page 90
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1 A Yes, that's been gone on repeatedly here.
1 three, four minutes as a leak, so out comes this hot air
2 That's the Treon work.
2 PCB, and their eyes and nose are irritated. They're not
3 Q All right. And what were the safe levels for
3 going to get poisoned from that exposure. They'll get
4 PCB?
4 irritation of their eyes and nose. They stop the leak and
5 A Well, he came out with some, but 1 think it
5 everything is fine. So no, 1 didn't warn them.
6 was finally established that .5 or 1242 milligrams per
6 Q Will you turn to page 54? 1 will address your
7 cubic meter -- 1 mean, .5 for 54, 1254 and one milligram
7 attention to the heading "Safety Equipment" which is
8 per cubic meter for 42.
8 approximately in the middle of the page. Is that an
9 Q Can you explain to a jury how much that is?
9 accurate statement as to the operations of the East St.
10 A Well, cubic meter of air is sort of pretty
10 Louis Monsanto plant called Krummrich?
11 close to a yard by a yard by a yard. 1 mean, a yard is 36
11
MR. CARNEY: Which paragraph are you --
12 inches. A meter is 39 inches. 1 cubic is this way.
12 MR. McCREA: Linder "Safety Equipment."
13 That's cubic meter of air, and a milligram is - let's see 13 MR. CARNEY: Okay.
14 - it's a thousandth of a gram. It's a pretty small
14 A 1 can't answer that because the safety
15 amount.
15 equipment comes under the responsibility of the safety
16 Q How would you describe that to the jury so
16 department, and 1 can't answer of my own knowledge whether
17 that they could have some frame of reference?
17 these things really were there or not.
18 A Well, 1 think it's hard to explain that to the
18 Q (By Mr. McCrea) Will you consider a deviation
19 jury. A milligram is - I'd have to transpose milligrams
19 from that practice as stated on page 54 under the heading
20 to a gram. That's a thousandth of a gram and there are
20 "Safety Equipment" an unsafe practice?
21 four grams in a teaspoonful. So you vaporize 1/4,000 of a 21
MR. CARNEY: Objection to the form.
22 teaspoonful and have it present in a small area. That's
22 A Unsafe practice where, the Krummrich plant?
23 one milligram per cubic meter.
23 Q (By Mr. McCrea) Yes, sir.
24 Q All right, sir. Do you agree with the
24 A Well, suppose a pair, spare suit of clothes
25 statement in the second to the last paragraph on page 53
25 was in the locker room. That would be unsafe to have it in
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Pages 89 - 92
L EXO L D M O N006964
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1 the locker room rather than encased in an apartment. The
1 as to what level we'd say, "Put the respirator on."
2 first aid cabinets, we were doing our best to get rid of
2 Q (By Mr. McCrea) Did you ever warn the workers
3 first aid cabinets because the only thing you need for
3 at the Krummrich plant that if they experienced nose and
4 first aid is lots of water and a shower at the chemical
4 throat irritation, they could also be absorbing that
5 plants. So 1 think having, not having a first aid cabinet,
5 chemical into their body in that it permeates the nasal
6 that is not unsafe. Gas mask you certainly wanted. Fire
6 membranes and the lungs?
7 extinguisher you certainly wanted. Stretcher in the
7 A No, sir, 1 did not because that would be a
8 department? 1 don't know if that was important. 1 don't
8 very unusual -- The situation of irritation of the nose and
9 think we had stretchers in all our departments, so 1
9 eyes and throat would be very unusual. It would be
10 wouldn't consider it unsafe if we didn't have a stretcher
10 temporary, would not be considered standard operating
11 in the department.
11 procedure and would not be repeated.
12 Q Would you consider it unsafe not to have a
12 Q Did you ever warn the companies to which you
13 fume respirator.
13 sold PCBs that irritation of the nose could also lead to
14 MR. CARNEY: Objection to the form. You
14 systemic poisoning?
15 talking about in Krummrich?
15 A We warned the people that they should avoid
16 A In the Krummrich?
16 breathing the fumes at elevated temperatures. We did not
17 Q (By Mr. McCrea) At Krummrich.
17 warn them specifically about irritation of the nose and
18 A Oh, yes, because there they're working with
18 throat saying that could lead to systemic intoxication, but
19 chlorine. Remember your chlorinated diphenyl, and if you
19 if they avoided breathing the fumes, if they followed our
20 get a leak from chlorine, you need a fume respirator.
20 directions, they wouldn't get irritation of the nose and
21 Q Would you consider it an unsafe practice not
21 throat and they wouldn't get systemic adverse effects.
22 to have a fume respirator for exposure to ambient levels of 22
Q Would you turn to page 55?
23 PCB under certain conditions?
23 A Yes, sir.
24 MR. CARNEY: Objection to the form.
24 Q 1 direct your attention to the third paragraph
25 A How high it the ambient level?
25 beginning with the words, "Mr. Benignus." Did 1 pronounce
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1 Q (By Mr. McCrea) Three parts, three milligrams
1 that correctly?
2 per cubic meter.
2 A Benignus, yes, sir.
3 A You mean we've got a leak and there it is?
3 Q Benignus. The sentence states, "Mr. Benignus
4 Q Right.
4 of St. Louis, September 1953, discussed the dangers of
5 A Still talking about the criminalplant.
5 using Aroclor in indoor paints." Do you recall what the
6 Q Yes, sir.
6 dangers were that he discussed in September 1953 with
7 A If we had aleak in three parts per, of three
7 regard to Aroclor in indoor paints?
8 milligrams per cubic meter, we would not consider that
8 A No, sir, 1 do not. 1 do not, but first of
9 unsafe for the time that it would take the workers to fix
9 all, 1 don't believe there was a very large amount of
10 up the leak.
10 Aroclors used in indoor paints, but if it were used and you
11 Q At what level would you require workers to
11 were using it on a closet or in a confined space, you would
12 wear a fume respirator or under what conditions?
12 be breathing the fumes. That may be elevated temperatures,
13 MR. CARNEY: Again at Krummrich?
13 it may be hot in this closet, but 1 don't know.
14 MR. McCREA: At Krummrich.
14 1 do not -- To answer your question, 1 do not know
15 MR. CARNEY: Which again for the jury's
15 what the dangers of using Aroclors in indoor paints was. 1
16 benefit is East St. Louis.
16 have seen no reports in the company literature about or
17 MR. McCREA: Correct.
17 even talking to anybody about whether there had been any
18 A Well, in the first place, remember we've put
18 danger of using Aroclors in indoor paints.
19 this fume respirator in there for the chlorine. That was a
19 Q Did Mr. Benignus ever discuss with you the
20 serious thing. And to answer your question of what level,
20 dangers he felt existed with using PCBs in indoor paints?
21 if we had a big spill of hot PCBs, 1 believe that we would
21 A No, sir.
22 use the respirator and the goggles to avoid nose and throat 22
Q Did you ever discuss with him the danger you
23 irritation, and we would get the people out of there until
23 felt existed in using PCBs in indoor paints?
24 the condition were corrected, and we would go in there with 24
A No, sir, 1 don't ever remember having even
25 a gas mask or an airline helmet. 1 can't give you figures
25 heard that there was a danger of using Aroclors in indoor
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Pages 93 - 96
LEXOLDMONOQ6965
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1 paints.
1 percent chlorine.
2 Q Will you turn to page 57?
2 Q In the next line which is line ten there's
3 A Yes, sir.
3 1268. What is 1268?
4 Q Can you identify the document which appears at
4 A Chlorinated diphenyl chlorinated to 68 percent
5 page 57?
5 chlorine.
6 A I'll have to identify it by using page 58,
6 Q So in that paragraph you're making reference
7 also.
7 to 1242, 1254 and 1268. Is that correct?
8 Q All right, sir.
8 A That's correct.
9 A It's a letter from me to Dr. Barrett in London
9 Q You make reference to any compounds which
10 who was a Ph.D. in London with a -- dated September 20th, 10 include benzene in that paragraph?
11 1955 on a previous memorandum of his which 1 don't have. 11
A 1 don't know what you mean by including
12 There's a copy to Dr. Hardy, a chemist, and Dr. Newman, our 12 benzene. There are benzene rings in there that are joined
13 physician in London.
13 together and chlorinated, but that doesn't mean -- The
14 Q Did you author this document?
14 answer is no, 1 do not make reference to benzene in
15 A 1 dictated it, yes.
15 that.
16 Q Did you do the research to prepare the
16 Q Are all the references in paragraph two to
17 information incorporated in this document?
17 PCB?
18 A 1 don't know what you mean by research. You
18 A Yes.
19 mean to say did 1 --
19 Q Are there any references in this letter to
20 Q Did you rely on others rather than information
20 anything other than PCB? If so, where are those
21 which you independently developed to write this letter?
21 references?
22 A Well, then again which 1 independently
22 A No, there aren't.
23 developed, you mean did 1 do the laboratory work or did 1
23 Q So when we have Aroclor described at the top,
24 go and look at the Treon work, talk to the Kettering
24 we're talking about PCB?
25 people? Certainly 1 did that. 1 didn't ask anybody at
25 A That's correct.
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1 Monsanto for advice in dictating this. This was my own
1 Q Do you agree with the sentence, the second
2 knowledge.
2 sentence of paragraph two as you testify here today? "This
3 Q At the top of the letter in capital letters
3 is not particularly surprising because in earlier work it
4 are the words "Aroclor Toxicity." What is Aroclor?
4 was found that toxicity increased with chlorination."
5 A Aroclor is a generic name of Monsanto products
5 A That's correct.
6 for both chlorinated diphenyl, chlorinated diphenyl
6 Q Do you agree with the sentence, fourth
7 benzene, chlorinated terphenyl.
7 sentence in paragraph two? "Frankly, there was not too
8 Q What is toxicity?
8 great a difference between the two compounds, however."
9 A Toxicity is the ability of a material to
9 A That's correct.
10 produce unwanted effects on the animal organism or on
10 Q What do you mean by that, not too great a
11 plants or on fish or on birds.
11 difference?
12 Q Will you refer to paragraph one? "Howard
12 A Well, 1 take it that it wasn't a great
13 Nason has given me your memo of September 8." You do nol 13 difference. There wasn't a quantitative difference of a
14 recall the content of that memo as you testify here today?
14 large amount. 1 can't be any more descriptive than that.
15 A No, sir, 1 do not.
15 Q Are we talking about the manner in which they
16 Q Will you refer to paragraph two? What is
16 are ingested, the toxicity or what? What does differences
17 Aroclor 1254?
17 relate to?
18 A We've been over this one. That's chlorinated
18 A 1 would think in this context we're talking
19 diphenyl chlorinated to 54 percent. Aroclor 1242 is
19 concerning inhalation.
20 chlorinated diphenyl chlorinated to an average of 42
20 Q Next sentence you state, "As you know, the
21 percent.
21 maximum allowable concentrate is 0.1 ml per cubic meter in
22 Q Working on down in the paragraph there is a
22 the case of 1254 and as high as 10.0 mgm in the case of
23 reference ten lines down to 1268 -- Strike that. There's a
23 1268." What is the source of that information?
24 reference on line nine to 1254. What it 1254?
24 A 1 can't give you that information. 1 believe
25 A A chlorinated diphenyl chlorinated to 54
25 it may have been Treon's thinking. 1 do not know if they
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Pages 97-100
L EXO L D M O N006966
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1 had maximum allowable concentration. There's a
1 would certainly have the same opportunity to find out what
2 typographical error. It should be .1 milligrams of cubic
2 the level of MAC in England was just the same as we did
3 meter 1264 instead of milliliter. 1 don't know if they, if
3 with our plants in England.
4 these were ones that Treon was thinking about, but 1 can
4 Q In the next paragraph, paragraph three, you
5 tell you that it was a range established by the conference
5 state in your letter, "1 don't know how you would get any
6 of the Government Industrial Hygienists was .5 milligrams
6 particular advantage in doing more work." Are you telling
7 of 1254 and 1.0 milligrams of 1242. 1 don't know the year
7 Dr. Barrett that there doesn't need to be any additional
8 in which that was established. It was sometime after
8 work with respect to determining what?
9 Treon's work in 1954.
9 A Well, 1 don't know what work he was asking
10 Q Was does the term maximum allowable
10 for, but if he was asking for more work to determine safe
11 concentrate mean?
11 levels, we didn't need to do any more because he had those.
12 A That means that amount of material, the
12 We had done, had work done by the Kettering Laboratory that
13 recommended limit that the material should be in the air
13 was accepted by the government people, so we didn't need
14 for an eight-hour working day for a worker's lifetime.
14 anymore.
15 Q You state in paragraph two, second or the last
15 Q Then you state, "What is it that you want to
16 sentence, "In this country they don't use the MACs very
16 prove?" What do you mean by that?
17 routinely." Explain that to the jury.
17 A Exactly that. 1 don't know what he wanted to
18 A Well, they did not go out and calculate a
18 prove by whatever work he was talking about.
19 bunch of negative testing. In other words, if they tested
19 Q Was he referring to toxicity testing of
20 a department every six months and found it was under the 20 animals?
21 MAC, they didn't do it and they may have skipped a year or 21
A No, he was referring to -- Well, he may have
22 so. They just didn't do it routinely after-That's 1955
22 been. He may have been wanting to find out different
23 we're talking about. After the OSHA acts came in where it 23 levels of air levels that you would consider safe. 1 don't
24 was deemed important to do it routinely, then they did it.
24 really know what he wanted to prove on this because that's
25 In'55 they didn't do it routinely.
25 why 1 asked him. When 1 had the letter 1 didn't know what
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1 Q Then you state, "But certainly in England 1
1 he meant, so 1 can't answer it now without knowing what,
2 think it would be all right to consider 0.2 mgm/cubic meter
2 without even seeing the letter, but 1 had told him we've
3 as perfectly safe." Is that correct?
3 got the levels that are safe. What else do you want?
4 A 1 mean, are you reading it correct or is the
4 Q You state, "1 believe your work should be
5 statement correct?
5 directed towards finding out what the concentrations are of
6 Q Yes. Did 1 read it correctly?
6 Aroclor during the different operations, whether it is
7 A Yes, you read it correctly.
7 industrial or painting." Do you know of any data that was
8 Q What does the 0.2 milligrams per cubic meter
8 ever obtained by Monsanto at the Krummrich plant which was
9 apply to, what chemicals?
9 recorded to show the industrial levels at the plant?
10 A 1 don't know whether it applies, whether it
10 A Yes, sir. 1 know it has been done, but where
11 applied to 1254 or 1242. This is in English. If 1 had
11 those records are 13 years after we stopped making the
12 this previous letter I'd be able to tell you, but 1 thought
12 material, 35 years after this letter, 1 don't know. They
13 1 told him then that whether it was 1242, 1254, .2
13 were certainly recorded. I've seen the results. They were
14 milligrams per cubic meter is perfectly safe and it was
14 under the safe maximum allowable concentration. They
15 perfectly safe because when it came out with the Government 15 weren't done routinely.
16 Industrial Hygienists level, it was .5 for 54 and 1.0 for
16 Q Did you ever report to anyone the levels which
17 42. So this 0.2 it perfectly safe.
17 you found at Krummrich?
18 Q Did you ever communicate to Westinghouse the
18 A Sure. 1 reported them to the plant doctor. 1
19 same information that you communicated to Dr. Barrett, that 19 reported them to the plant manager.
20 you thought 0.2 milligrams per cubic meter would be
20 Q Did you ever report it to anyone else within
21 perfectly safe?
21 the Monsanto organization in writing?
22 A No, 1 never did because remember, this is an
22 A 1 may have and 1 may have not.
23 English plant, and presumably people over there were
23 Q But you acknowledge that the testing was done
24 talking about using .2 milligrams. 1 don't know if
24 on a random basis before the OSHA regulations?
25 Westinghouse had any English plants, but if they did, they 25
A Well, it was done in a sufficient number. 1
Kelly, R. Emmet M.D. (fmrMons Med Dir) in BROWN Volume 5
Pages 101 - 104
LEXOLDMONOQ6967
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1 satisfied myself that these workers had a safe working
1 for?
2 environment and it was true. They never had any problems. 2
A Monsanto Chemical Company.
3 Q Did you ever determine the levels of Aroclor
3 Q "We know Aroclors are toxic, but the actual
4 exposure during the process of painting?
4 limit has not been precisely defined." When you refer to
5 A Painting what? Anything?
5 Aroclor in that paragraph, are you referring to Aroclor
6 Q What do you mean when you state "or painting"
6 1242, 1254 and 1268 which you reference in paragraph two?
7 in paragraph three?
7 MR. CARNEY: I'm going to object here that
8 A 1 don't know because it all depends what he
8 again you're asking the witness to try to put himself and
9 asked about in his letter.
9 his mind back 35 years ago and you're acting like he did it
10 Q You state, Dr. Kelly, and you wrote this, "1
10 yesterday. If you can answer, Doctor.
11 believe your work should be directed towards finding out
11 A What is the question? I've lost the train of
12 what the concentrations are of Aroclor during the different
12 thought.
13 operations, whether it is industrial or painting." You
13 MR. McCREA: Could you read it back, please?
14 wrote that?
14 (Thereupon, the reporter propounded the pending
15 A Certainly, 1 wrote it.
15 question.)
16 Q What did you mean?
16 A Yes.
17 MR. CARNEY: Just for the record, he wrote it
17 Q (By Mr. McCrea) Doctor, whatever the debates
18 35 years ago. You'll agree to that, and you're acting like
18 over reports of human health effects in earlier animal
19 you're outraged that he can't remember what one word meant 19 studies, by 1955 it was common knowledge among medical
20 when he wrote it 35 years ago. 1 think he's doing a pretty
20 scientists at Monsanto that PCBs were systemically toxic,
21 darn good job of remembering what he did, but 1 can't fault 21 was it not?
22 him if he can't remember every 1 and T.
22 MR. CARNEY: Let me object to, 1 think the
23 Q (By Mr. McCrea) Doctor, you've reviewed this
23 questions contains undefined terms as to what you mean by
24 document many times since you've wrote it, haven't you, in 24 systemically toxic and what you mean by toxic.
25 other depositions?
25 MR. McCREA: Would you reread the question?
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Page 108
1 A Not many times.
1 (Thereupon, the reporter propounded the pending
2 Q You've been questioned about this document by
2 question.)
3 other attorneys?
3 A Well, the answer to that is yes, but that is,
4 A 1 don't believe 1 have.
4 this is not unique in industrial chemicals. All industrial
5 Q You don't?
5 chemicals have a certain amount of toxicity. It varies
6 A 1 may or 1 may not. It hasn't been too
6 from very little to quite toxic. We consider this in the
7 prominent. Maybe 1 have. 1 don't know. I've been
7 lower range.
8 questioned about a lot of things by a lot of attorneys.
8 Q (By Mr. McCrea) Did you say that in your
9 This may be one of the them. 1 don't know.
9 letter?
10 Q Doctor, do you know today what you meant when
10 A Not in this letter, but I've said it in many
11 you referred to the word painting?
11 letters.
12 A 1 do not, Mr. McCrea, but you'll have to
12 Q And on the date, September 20, 1955, you knew
13 remember that Dr. Barrett was a research man or a
13 that the actual limit for toxic systemic effects caused by
14 development man in our English operation. He wrote me a 14 PCB had not been precisely defined?
15 letter. He may have described to me what he meant by what 15
A Yes, sir, we had, we had defined a safe level,
16 the painting or the industrial use he was referring to, so
16 but we hadn't defined what will make you sick, but 1 think
17 1 wrote him back and said, "1 think the thing to do is to
17 the answer is you want to define a safe limit. You don't
18 find out what exposure you've got in these particular
18 want to define a toxic limit. That's what 1 said.
19 operations." So 1 don't know, to answer your question,
19 Q The next sentence says, "It does not make too
20 what was meant by that statement.
20 much difference, it seems to me, because our main worry is
21 Q You make reference in paragraph three to
21 what will happen if an individual gives any type of liver
22 Kettering laboratory reports which cost 15 to $20,000.
22 disease and gives a history of Aroclor exposure." Doctor,
23 A Yes, sir.
23 what do you mean by any type of liver disease?
24 Q In paragraph four you state, "MCC's position
24 MR. CARNEY: Well, you did misread a word. 1
25 can be summarized in this fashion." What does MCC stand 25 don't think it was intentional. You used the word gives
Kelly, R. Emmet M.D. (fmrMons Med Dir) in BROWN Volume 5
Pages 105 - 108
LEXOLDMONOQ6968
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1 instead of develops.
1 work in and get sick. We know the exact limit you can work
2 Q (By Mr. McCrea) What do you mean by any type
2 in and be safe. There's a big difference between those
3 of liver disease in sentence two of paragraph four of your
3 two.
4 letter dated September 20, 1955 at page 57?
4 Q Did you inform Westinghouse of that
5 A 1 meant by that liver disease that can occur
5 information?
6 in the ordinary run of people who are not exposed to PCB at 6
A Of what information?
7 all. 1 mean by that infectious hepatitis, serum hepatitis,
7 Q The level in which workers would be safe.
8 cirrhosis of the liver, alcoholic hepatitis. That's what 1
8 A It was in the medical literature.
9 mean by any type of liver disease.
9 Q Did you inform Westinghouse?
10 Q Can PCBs contribute to hepatitis? Was it your
10 A 1 may have.
11 opinion on September 20, 1955 that PCBs could contribute to 11
Q Of the levels which workers could work in and
12 hepatitis?
12 be safe?
13 A They could cause a chemical hepatitis if there
13 A 1 may have, and we also have it in our
14 was a sufficient exposure, yes.
14 bulletins, so Westinghouse, I'm sure, got some of the
15 Q Could PCBs contribute to cirrhosis?
15 bulletins. If you mean 1 myself called, sent a letter to
16 A No, sir.
16 Westinghouse, 1 may or may have not, but 1 do know that
17 Q Could PCBs contribute to alcohol cirrhosis?
17 Mr. Wheeler wrote to their industrial hygienist and
18 A 1 don't know.
18 explained all that. 1 know that it was in our bulletins
19 Q Were there any other types of liver disease
19 that Westinghouse got, and 1 also know that Westinghouse
20 that would be included in your definition?
20 had a medical department that was as up-to-date on the
21 A We would include everything there except
21 medical literature as 1 was.
22 malignancies of the liver. 1 think that runs, we've got
22 Q You don't recall yourself ever communicating
23 infectious, we've got toxic, we've got hep -- Well, 1 guess
23 verbally or in writing with your author on the letter to
24 we could say hepatitis from drug needles, but that's a
24 Westinghouse as to what the safe levels were?
25 serum hepatitis. 1 think that takes care of most of the
25 A 1 do not recall.
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1 liver diseases.
1 Q You state, "It does not make too much
2 Q What about yellow atrophy of the liver?
2 difference, is seems to me, because our main worry is what
3 A Yellow atrophy of the liver is the end result
3 will happen if an individual develops any type of liver
4 of hepatitis, of continuing, fulminating hepatitis because
4 disease and gives a history of Aroclor exposure"? Is your
5 the vast majority of hepatitises get well.
5 concern there that because the levels are not defined and
6 Q Doctor, on September 20, 1955 when you wrote
6 you know that PCBs produce liver problems, that the
7 this letter to Dr. J. W. Barrett, did you feel that it was
7 connection would then be made if a person simply
8 a waste of money to do any other research to determine the 8 establishes exposure?
9 extent of harm Aroclor could cause to humans?
9 A Well, in the first place, 1 don't know what
10 A 1 didn't say that. 1 just talked to him about
10 you mean the levels were not defined. We had a safe level
11 whether there should be any work done on safe levels of the 11 determined. Now, if you want to rephrase that sentence
12 material in the air.
12 explaining what you mean by that or leaving it in or --
13 Q As it affects health?
13 Q What do you mean by that sentence?
14 A Yes.
14 A Well, 1 don't know. 1 didn't say the
15 Q And did you feel it was a waste of money to do
15 sentence. Which sentence are away talking about, yours or
16 any more work on determining safe levels in the air as
16 this one?
17 those safe, as those levels would affect health?
17 Q Yours, sentence two in paragraph four?
18 A We have determined that already. That was a
18 A "We know the Aroclors are toxic. The actual
19 definite. It was proved. It was proven. We had excellent
19 limit has not been precisely defined." By that 1 said we
20 data on it.
20 do not know what level you have to work at to get sick. We
21 Q Is that consistent with your statement in
21 know what levels you have to work under to stay well.
22 paragraph four, "We know Aroclors are toxic, but the actual 22
Q The last sentence is, "1 am sure the juries
23 limit has not been precisely defined"?
23 would not pay a great deal of attention to MACs." To what
24 A Well, 1 explained that earlier, Mr. McCrea. 1
24 are you referring when you say juries?
25 said we don't know how much the exact limit is that you can 25
A Jury is a group of people at a trial.
Kelly, R. Emmet M.D. (fmrMons Med Dir) in BROWN Volume 5
Pages 109 - 112
LEXOLDMONOQ6969
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1 Q Are you stating that if a person establishes
1 MR. CARNEY: Well, let me - Why don't we cut
2 two things, that he had exposure to PCBs at any level and a 2 at this point so we don't get in the middle of an answer.
3 history of liver disease, that the juries would rule that
3 We've got less than a minute.
4 the exposure caused the liver disease?
4 MR. McCREA: Break.
5 A No, sir, I'm not saying that at all.
5 (Thereupon, a short recess was taken).
6 Q What do you mean?
6 Q (By Mr. McCrea) Dr. Kelly, back on the
7 A Well, all I'm saying is if you talk to a jury
7 record. We're on page 58 of your September 20, 1955 letter
8 about .5 milligrams per cubic meter, 1.0 cubic meter, 1
8 to Dr. J. W. Barrett. In the first sentence of the first
9 think the jury will make their mind up on, by using good
9 paragraph you state, "We, therefore, review every new
10 common sense. Here is the evidence in the case, and make 10 Aroclor used from this point of view." To what does point
11 their decision there regardless of what the MACs may or may 11 of view refer?
12 not have been.
12 A Well, it refers to the next two sentences. In
13 Q What did you think juries would pay attention
13 other words, if 1 had a colon there instead of a period,
14 to if not the MACs?
14 the point of view is this: If it is an industrial
15 A I'm not a lawyer. 1 don't know.
15 application where we could get air concentrations and have
16 Q Why did you make that statement in the letter?
16 some reasonable expectations that the air concentrations
17 A Because 1 didn't believe they would pay much
17 will stay the same, we are much more liberal in the use of
18 attention to MACs. 1 think they would base their decision
18 Aroclor.
19 on the entire amount of evidence submitted by the
19 If, however, if it is distributed to householders
20 defendants and the plaintiffs, the medical records in the
20 where it can be used in almost any shape or form and we are
21 case. That's what 1 would think. That's why 1 made it. 1
21 never able to know how much of the concentration they are
22 see -- 1 mean, 1 believe I'm oversimplifying when 1 said my 22 exposed to, we are much more strict. That's the point of
23 main worry is what would happen if an individual developed 23 view.
24 liver disease. Our main worry was we wouldn't want a
24 Q Have you sold Aroclor PCB for use in
25 fellow to get any liver disease.
25 households?
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1 Q Were you not worried that a jury would rule
1 A No, sir, but this is England and 1 don't know
2 that if a person has exposure to liver disease, there would
2 what they were going to do over in England.
3 be a finding for that individual?
3 Q You say, "We are much more strict." To whom
4 A 1 may have in 1955, but 1 certainly didn't by
4 are you referring when you say we?
5 1974 because there was no such jury verdict in the 39 years 5
A Monsanto company.
6 since then.
6 Q Did you sell PCB to be used as a plasticizer
7 Q But this was, as you say, you may have felt
7 in silos?
8 that way in '55?
8 A Not as a plasticizer. We had sold it as a
9 A 1 may have.
9 paint for silos. 1 don't know if that was sold by Monsanto
10 Q On the next page which is page two you state,
10 or by the distributers, but Monsanto PCBs were used as a
11 "We, therefore, review every new Aroclor used from this
11 paint in silos.
12 point of view." Point of view refers to what?
12 Q Do you have any data on the air concentrations
13 MR. CARNEY: Let me just for the record, 1
13 to which individuals were exposed inside the silo where
14 think we have less than a minute to go and 1 don't want to
14 that was used as a plasticizer?
15 get cut off in the middle of an answer.
15 A No, sir.
16 A Yeah, but why don't we keep going a little bit so
16 Q And did you market it after 1955 to be used as
17 we don't have to wait when we get over there? It's only
17 a plasticizer in silos?
18 quarter after 12. We're going over to O'Connell's. 1
18 A Again it was used as an ingredient in the
19 think we need to keep going till quarter till one or
19 paint sometime, but 1 do not know when it was. 1 don't
20 something like that.
20 know if we actively marketed it or if it was marketed by a
21 MR. CARNEY: 1 agree, but this tape is about
21 distributor because it was used in a very few states, Ohio
22 to run out, and we'll decide on whether we break for lunch
22 and Michigan, 1 believe. It was not a widespread use
23 or go to another tape.
23 through the country.
24 Q (By Mr. McCrea) To what does point of view
24 Q Did you know after the 1955 and the date you
25 refer?
25 authored this letter that PCBs were used in a plasticizer
Kelly, R. Emmet M.D. (fmrMons Med Dir) in BROWN Volume 5
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LEXOLDMON006970
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1 formulation on the inside of silos?
1 would never know what the person was exposed to, so that
2A
Youmean after 1955?
2 wouldn't enter into the discussion at all with the juries.
3 Q Yes, sir.
3 Q But if you did know the maximum allowable
4 A Yes, 1 did, certainly.
4 concentration, your opinion was a jury wouldn't pay
5 Q And did you also know that you had no data on
5 attention to it?
6 the concentration levels into those silos?
6 MR. CARNEY: You're talking about if there
7 A Yes, sir.
7 was, PCBs were sold to households for use in households?
8 Q And did you continue to market the product
8 MR. McCREA: No, in industrial or households.
9 notwithstanding the fact you had no data on the
9 MR. CARNEY: Yeah, but you're mixing apples
10 concentration levels into the silos?
10 and oranges. He's saying that he doesn't think any more
11 A They continued to be used, yes, sir. Now, 1
11 testing should be made with regard to selling and
12 don't know when you're saying marketing, 1 don't know if we 12 distributing PCB to householders, not the workplace. So
13 were actively marketing it, but it was used in silos.
13 you're trying to twist these words and confuse the jury
14 Q In the last sentence you state, "No amount of
14 here, Mr. McCrea. 1 don't know that -- 1 hope you're not
15 toxicity testing will obviate this last dilemma and
15 doing it intentionally, but you're certainly doing it, to
16 therefore, 1 do not believe any more testing would be
16 confuse householders with the workplace.
17 justified." Do you feel that it was a waste of money to
17 Q (By Mr. McCrea) Doctor-
18 investigate whether there was, whether there were any
18
MR. CARNEY: And there wasn't even any
19 health effects that could be determined by any future
19 testimony by Dr. Kelly that PCBs were marketed in the
20 testing?
20 United States to be used in the household.
21 A 1 think it's never a waste of money to find
21 Q (By Mr. McCrea) Well, come to that later.
22 out what the toxic properties of a compound are.
22 Dr. Kelly, you made the statement on page one, quote, "1 am
23 Q When you made that statement, "No amount of
23 sure the juries would not pay a great deal of attention to
24 toxicity testing will obviate this late dilemma and
24 maximum allowable concentrations" Were you referring to a
25 therefore, 1 do not believe any more testing would be
25 case where a person in industry would develop liver disease
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1 justified," did you believe it was a waste of money to do
1 with exposure to PCBs with a known maximum allowable
2 any further testing to determine what health effects were
2 concentration?
3 determined, were caused at what levels?
3 A 1 was not referring to any case at all because
4 A No, 1 did not believe it was a waste of money,
4 a case hadn't occurred. If that -- if 1 was referring to a
5 but 1 saw no reason for doing it because we could not get
5 hypothetical case, that's something else. 1 was certainly
6 the other parts of the equation. We would never know how 6 not referring to any actual case.
7 much the man was going to be exposed to in these, if it 7 MR. McCREA: Would the court reporter please
8 were distributed to householders and so --
8 reread the question?
9 Q And if you did know, you felt the jury
9 (Thereupon, the reporter propounded the previous
10 wouldn't pay attention to it at any rate?
10 question.)
11 A No, 1 didn't say that at all. That's your
11 A My answer was, was 1 referring to a case.
12 words.
12 That's what you asked. There was no such case, so 1
13 Q You said, "1 am sure the juries would not pay
13 obviously wasn't referring to one, to any specific case.
14 a great deal of attention to MACs."
14 Now, if you are referring to a hypothetical case, let's
15 A That's correct, but that's not--
15 phrase it that way to me.
16 Q Those were your words.
16 Q (By Mr. McCrea) When you stated on page one,
17 A Yes, but you want to repeat your words?
17 quote, "1 am sure the juries would not pay a great deal of
18 MR. McCREA: Please.
18 attention to MACs," maximum allowable concentrations, were
19 (Thereupon, the reporter propounded the previous
19 you referring to a potential situation where a worker
20 question.)
20 developed liver disease in an industrial setting with a
21 A What do you mean by pay attention to it?
21 known maximum allowable concentration?
22 Q (By Mr. McCrea) Maximum allowable
22 A Yes, would develop liver disease that could be
23 concentrations.
23 from any of the four or five conditions that 1 mentioned.
24 A Well, there certainly would be no maximum
24 Serum hepatitis, alcohol hepatitis, other compounds he
25 allowable concentrations developed in household use. We 25 was working with to give him a chemical hepatitis,
Kelly, R. Emmet M.D. (fmrMons Med Dir) in BROWN Volume 5
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LEXOLDMONOQ6971
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1 infectious hepatitis, liver tumors. Yes, 1 was referring
1 MR. McCREA: 1 would ask the Court to strike
2 to that.
2 the comments of Mr. Carney as being totally irrelevant to
3 Q And was it your opinion that the data already
3 the objection and furthermore, purposely interjecting
4 gathered by Monsanto was more than enough to convince
4 inflammatory comments to the jury which he knows have no
5 unbiased people on a jury of the connection between PCBs
5 relationship whatsoever to the question. Now, would you
6 and systemic damage without reference to maximum allowable
6 please read the question back?
7 concentrations?
7 MR. CARNEY: 1 would just caution you, Doctor,
8 MR. CARNEY: I'm going to object to that.
8 if you don't understand the question, just say so.
9 That question is so vague and convoluted and unintelligible
9 (Thereupon, the reporter propounded the pending
10 that 1 certainly don't understand what you're asking.
10 question.)
11 You're reading a question out of some letter that you got,
11 A 1 would have to say 1 don't know whether they
12 probably from your co-counsel 1 would suspect, and 1 would
12 would or not. I'm not an expert on howjuries decide
13 say it's the most unintelligible question I've heard in
13 cases.
14 this deposition, and that's saying something.
14 Q (By Mr. McCrea) In the sentence preceding
15 MR. McCREA: Would the court reporter please
15 that you refer to your main worry. You say, "It does not
16 reread the question?
16 make too much difference, it seems to me, because our main
17 (Thereupon, the reporter propounded the pending
17 worry is what will happen if an individual develops any
18 question.)
18 type of liver disease and gives a history of Aroclor
19 A Well, it's English, but 1 still have trouble
19 exposure." By worry, what do you refer to?
20 analyzing the question.
20 A 1 refer to that if you have a product that is
21 MR. CARNEY: It's a when did you stop beating
21 a, that is capable in some overexposures of causing a
22 your wife question, Doctor, is what it is.
22 particular condition and there are numerous other
23 A Well, as 1 said earlier, 1 believe a jury will
23 conditions entirely unrelated to occupation that cause the
24 take all the evidence into account. If there were levels
24 same conditions, there is always the possibility that jury
25 shown that were under the maximum allowable concentration,
25 may believe that this condition is due to his work
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1 that's fine, but I'm sure opposing counsel would say,
1 involvement rather than to a nonoccupational cause if he
2 "Well, you didn't take this every hour, every day that this
2 has the illness. If he doesn't have the illness, obviously
3 man worked, so conceivably he's worked at higher levels.
3 the jury will not believe it at all.
4 Isn't that true," and 1 would have to say yes. So 1 think
4 Q Dr. Kelly, when you say our, did other people
5 the jury takes into account what the evidence is of his
5 have the same worry as you stated in this letter at
6 exposure, of his medical condition and make their judgment 6 Monsanto Company on the date of September 20, 1955?
7 on that.
7 A 1 think everybody in industrial medicine has
8 Q (By Mr. McCrea) Are you stating in this
8 this worry with all sorts of compounds. That's why there's
9 letter that Monsanto could present definitive information
9 so many cases in litigation, because they may have no
10 as to the maximum allowable concentrations and if the
10 foundation, but there's a temporal relationship between
11 plaintiff had liver disease and could establish exposure,
11 work and the condition they have.
12 that the jury would not pay attention to Monsanto's proof
12 Q Did you continue to market PCBs for use in
13 of maximum allowable concentrations?
13 nonindustrial applications before you authored this letter?
14 MR. CARNEY: I'm going to object to that.
14 A You mean did 1 personally myself?
15 It's compound. It's more -- 1 couldn't believe it, but 1
15 Q Monsanto.
16 think this question is more unintelligible than the last
16 A Did Monsanto? 1 don't know. You're talking
17 one. The memo doesn't say those words. 1 don't see them 17 about Monsanto in England, Monsanto, U.S.A.?
18 in there at all. You're twisting and contorting and
18 Q U.S.A.
19 harassing this ones for four days. 1 think this is
19 A Well, 1 don't know if they marketed it in
20 unconscionable, and 1 think the jury will pay attention to
20 non-industrial applications before with the exception of
21 that conduct, not MACs. 1 think they're going to want to
21 paint, and 1 don't know whether that use was marketed by
22 know about the evidence and what you have, what proof you 22 Monsanto or was just developed, a paint company calling up
23 have that there's any connection between your plaintiffs
23 a distributor and buying the PCBs. 1 don't know, so the
24 health problems and PCBs, and so far you haven't touched on 24 answer is 1 don't know.
25 that at all.
25 Q After this date, did Monsanto continue to
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Pages 121-124
LEXOLDMONOQ6972
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1 market PCBs for non-industrial uses despite the fact that
1 thought you might get some questions on this document," and
2 you knew and you and Monsanto knew no maximum allowable
2 1 was very correct. You've gotten - This stack of Exhibit
3 concentrations could be obtained?
3 Six is a one inch stack of documents and you're on page 58.
4 A Well, we do you - The answer is if we marketed
4 We've got 261 questions, so 1 assume 1 was correct. We've
5 it, if they were marketed, yes, but we knew the maximum
5 already had lots of questions on the first 58 pages.
6 allowable concentrations were obtained by heating the
6 Q (By Mr. McCrea) Dr. Kelly, how much time did
7 material, and we knew that paint is not put on when it's
7 you spend reviewing this document before your testimony
8 hot. So 1 don't believe there was any necessity for
8 here today?
9 looking for a maximum allowable concentration on paint.
9 A This one here.
10 The problem with paint has not been on the workers. It's
10 Q Yes, sir?
11 been on the stuff flaking off and getting into the silos,
11 A A minute.
12 the silage.
12 Q And you can't tell us what you meant when you
13 Q Have you ever tested for the maximum allowable
13 wrote, "We're are much more strict"?
14 concentrations of PCBs into a silo?
14 MR. CARNEY: He's always answered that, Mr.
15 A No, sir, 1 have not.
15 McCrea. Let me object. 1 am really getting irritated at
16 MR. CARNEY: For the record, 1 don't know how
16 you. I've been restraining myself, but we are now in your
17 many workers are inside of silos.
17 fifth day. 1 was not correct. We're in the fifth day. We
18 MR. McCREA: How about farmers, Mr. Carney?
18 started on the 31st of May. You started your cross. You
19 MR. CARNEY: That's what I'm saying. 1 don't
19 went through on June 1, on June 12, on June 13 and now June
20 know.
20 15, 1990, and it's after noon, so we're half a day here so,
21 MR. McCREA: Do they count?
21 and you're still, and you're asking these repetitive
22 MR. CARNEY: Everybody counts.
22 questions and that's why this deposition is being drug out
23 A 1 farmer doesn't climb into a silo. He
23 for some reason. 1 don't know, but, you know, at some
24 unloads the stuff on the bottom. The paint it put on when
24 point why don't you ask an intelligent question that isn't
25 the silo is empty.
25 repetitive so we can get through with this thing. 1 don't
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1 Q (By Mr. McCrea) What about the people that
1 know how many more days you're going to go, even though
2 put it on? Did you test for the maximum allowable
2 you've promised two and a half days ago that it would be
3 concentrations during that process?
3 one day only.
4 A When they put it on, it's at the ambient
4 MR. McCREA: What's your objection to the
5 temperature and the stuff does not volatilize at the
5 question?
6 temperatures that exist on a farm.
6 MR. CARNEY: Repetitive.
7 Q You state in the third sentence on page 58,
7 MR. McCREA: My objection, and 1 will note to
8 "If, however, it," meaning PCB, "is distributed to
8 the Court we don't have an answer. Dr. Kelly who is a
9 householders where it can be used in almost any shape and 9 medical director from 1936 to 1974 and authored this letter
10 form and we are never able to know how much of the
10 stated, "We are much more strict." 1 presume that he knew
11 concentration they are exposed to, we are much more
11 then what he meant. 1 presume that with his testimony in
12 strict." In what way were you much more strict?
12 all of these cases and his preparation for this deposition
13 A 1 don't know how we were there, but maybe we
13 that he could define for the jury what he meant.
14 didn't allow it in some uses. 1 don't know. 1 don't know
14
MR. CARNEY: And he's answered that he doesn't
15 what 1 meant by that in 1955.
15 recall, and I'm sorry, Mr. McCrea, but 1 don't fault this
16 Q Now, your attorney has stated that this was
16 man that he can't recall what he meant by a couple of words
17 written in 1955. Isn't it a fact that you've reviewed this
17 that we wrote 35 years ago. 1 dare say that you can't
18 document with your counsel before testifying here today?
18 recall what you were doing 35 years ago.
19 A 1 don't think so. He gave it to me, said,
19 MR. McCREA: Would you like to show me a
20 "Look this over," but 1 didn't review it with him.
20 letter and see if 1 recall what it means?
21 Q So you did look the document over before
21 MR. CARNEY: Mr. McCrea, you've got an answer
22 testifying?
22 to your question and you're now badgering this witness
23 A Well, I've seen it before.
23 who's been sitting here, very patiently 1 might add, and
24 MR. CARNEY: You gave it to -- You gave the
24 you're into the fifth day and you're asking him if, and he
25 documents to me and 1 handed them to him and said, "1
25 said he can't recall what he meant by a word 35 years ago.
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
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1 Q (By Mr. McCrea) Dr. Kelly, would there be any
1 Q What warnings did you give for its use as a
2 way for you to refresh your memory?
2 plasticizer?
3 A No, sir.
3 A We used the warnings do not use at an elevated
4 Q As to what you meant by that statement?
4 temperature, to not breathe the fumes at elevated
5 A No, sir.
5 temperatures, do not -- and avoid repeated or prolonged
6 Q And by dilemma, what areyoureferring?
6 skin contact.
7 A The dilemma is thematerial may be used in a
7 Q Did you discuss this letter with the attorney
8 situation where we don't know how it's being used. It's
8 from Monsanto?
9 not being used by a sophisticated organization like GE or
9
MR. CARNEY: You just asked that about five
10 Westinghouse. It's being used by a mom and pop shop
10 minutes ago.
11 someplace in England or it may be used in the household. 1 11
A In answer is no.
12 don't know. Remember, this man is a research man. He's 12
MR. CARNEY: 1 think the answer is the same
13 not a marketing man. He was talking about potential
13 this time as it was five or six minutes ago.
14 applications.
14 Q (By Mr. McCrea) The last sentence states
15 Q Recognizing that you did not know and had no
15 "Let's see what our discussions with Dr. Newman and
16 way of knowing what the concentrations were and knowing 16 yourself bring out." What information did you those
17 that PCBs were toxic as you admit, what warnings did you
17 discussions produce?
18 distribute to the household users?
18 A 1 don't recall what they were. They certainly
19 A 1 don't know if there were ever any household
19 weren't very earthshaking because it doesn't stand out in
20 users. That's what 1 said. There's a big if, "If,
20 my mind what it brought out. 1 don't know.
21 however, it's distributed to householders." 1 don't know
21 Q Dr. Kelly, you initially stated that Aroclor
22 if householders ever used it. 1 never saw it.
22 stood for products containing benzene and terphenyls?
23 Q Did you --
23 A No, 1 did not. There's no benzene in
24 A On a grocery store shelf.
24 Aroclor.
25 Q You said, "We are much more strict." Does
25 Q All right. 1 misunderstood your answer.
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1 that suggest you did distribute it to householders?
1 Could you explain to us why you recommended in the last
2 A No, it does not. It might be that somebody
2 sentence, "1 do not believe any more testing would be
3 wrote up and said we're thinking about using this for X
3 justified"?
4 purpose.
4 MR. CARNEY: I'm going to object to that.
5 Q You state, "If, however, it is distributed to
5 We've been covering this sentence and this letter for well
6 householders where it can be used in almost any shape and 6 over an hour. It's getting very repetitive.
7 form and we are never able to know how much of the
7 A Well, yes, I'll say why 1 did it. We had
8 concentration they are exposed to, we are," present tense,
8 enough information from toxicity testing to show that we
9 "much more strict."
9 knew what the safe levels were and the worker could work
10 A Well, yes. Suppose somebody writes into me in
10 with eight hours a day for the rest of this life.
11 1955 and said, "We are going to use this on an over the
11 Q (By Mr. McCrea) And you knew that it would
12 shelf counter that you - We're going to use it to clean
12 not obviate the one dilemma where you don't know the
13 bath tubs with or something like that." We're going to
13 maximum allowable concentrations?
14 say, "We don't approve. We don't recommend that use at 14 A 1 don't know how it was used. If you give
15 all."
15 this out to -- Of it was going to be used in the household
16 Q You're saying that you had no evidence on the
16 which people might be smearing all over them, which people
17 date you authored this letter that any householder ever got 17 might have under the sink where the children could drink
18 your product with PCB in it?
18 it, there are a lot of reasons outside of the MACs that 1
19 A In the United States 1 know of no householder
19 would be concerned about. The household product is
20 that ever got a product of, certainly at this state, yes,
20 different than an industrial product.
21 sir. The answer is 1 don't know.
21 Q And you would warn as to those consequences?
22 Q But in the future you do know that it was
22 A 1 would warn --
23 distributed at least for coatings in silos?
23 MR. CARNEY: If it was being sold as a
24 A That's correct. That's not quite the
24 household product so that the children might drink it?
25 household use.
25 A 1 would put on it in addition to do not
Kelly, R. Emmet M.D. (fmrMons Med Dir) in BROWN Volume 5
Pages 129 - 132
LEXOLDMONOQ6974
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1 breathe at elevated temperatures or do not breathe in
1 Q In a letter to Westinghouse Electric
2 confined spaces, do not get an your skin, avoid
2 Corporation?
3 contaminated clothing. 1 would put on do not take
3 A Yes, sir.
4 internally, but 1 think in the industrial environment you
4 Q "In one case, an Aroclor was being used as a
5 really don't have to write that down because workers are
5 heat transfer medium in a system that allowed vapors to
6 not going to be drinking industrial chemicals.
6 escape when the material was heated to 600 degrees
7 Q (By Mr. McCrea) Would you warn that it's a
7 Fahrenheit." Is that correct? Is that F for Fahrenheit?
8 systemic poison?
8 A Yes, sir.
9 A 1 would tell them what they shouldn't do. If
9 Q Are you familiar with that case?
10 1 were selling gasoline 1 would say, "Don't have matches
10 A Yes. That's that case in Indiana that 1
11 around here." 1 wouldn't say, "Do not have matches around. 11 talked about several times during this deposition.
12 This is going to blow up thin your face." You don't have to 12 Q As you identify for us where in Indiana and
13 put the results down. You just tell themwhat not to do.
13 what company?
14 Q Would you explain to them that if it gets on
14 A No, 1 can't because it was a pretty small
15 their skin it can go into their body?
15 company. It was in something. It was a rather obscure
16 A Well, I'm telling them not to put it on their
16 medical journal. Not obscure, but one that wasn't widely
17 skin.
17 circulated like the Journal of the Indiana State Medical
18 Q Doctor, turn to page 59.
18 Society or something like that.
19
THE WITNESS: Why don't we break for lunch at
19 Q All right, sir.
20 this time now before we start another one. It's 1:00.
20 A But that's the one 1 called Doctor Spoiler about
21 MR. McCREA: That would be fine.
21 who is either head of industrial hygiene or health
22 (Thereupon, a lunch recess was taken.)
22 department or something in Indiana.
23 Q (By Mr. McCrea) Dr. Kelly, for the record,
23 Q All right, sir. Then the next sentence,
24 we're in the middle of a tape.
24 "Several workmen developed quote, 'black heads', quote,
25 A Yes, sir.
25 which were found by an industrial physician, but which in
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1 Q And continuing on here after a lunch break.
1 his words were so insignificant that the men were not aware
2 Can you turn to page 59 Plaintiff's Exhibit Six?
2 of them nor would a general practitioner notice them."
3 A Yes, sir.
3 A Oh, well, I'm sorry. The case 1 referred to
4 Q Did you recognize the exhibit?
4 Elmer Wheeler didn't mention here because they didn't have
5 A Yes, sir. This exhibit consists of pages 59,
5 chloracne. They developed a chemical hepatitis. This is a
6 60 and 61.
6 case that he refers to in New English someplace that was
7 Q Have you seen this particular document before
7 written up by a Dr. Maigs, M-a-i-g-s, at Yale University.
8 the deposition today?
8 That's the one. It was a heat transfer unit, also.
9 A Yes, 1 have.
9 Q All right.
10 Q I'll refer you to the bottom of page 59
10 A The case 1 refer to in Indiana was a chemical
11 beginning with the third paragraph of -- strike that -- the
11 hepatitis. It was not chloracne.
12 third sentence of the last paragraph, the word "Secondly." 12 Q Okay. Is this last sentence descriptive of
13 A Yes, sir.
13 chloracne?
14 Q Do you see that?
14 A You mean "several workmen developed
15 A Yes, sir.
15 blackheads"?
16 Q And that paragraph states, "Secondly, it is
16 Q Right.
17 possible that prolonged or repeated skin contact would lead 17
A Well, it's very mild chloracne, but it can run
18 to chloracne." 1 assume you agree with that?
18 a whole gamut of severity. It could get quite severe
19 A Yes, Ido.
19 chloracne.
20 Q "1 know of only two cases where such
20 Q He goes on to state, "This indicates to me,
21 experience has developed during the long history of
21 however, that sufficient exposure, whether by inhalation or
22 production and use of Aroclors," and this is the author
22 vapors or skin contact, can result in chloracne which 1
23 speaking who is Elmer P. Wheeler, assistant director of
23 thing we must assume could be an indication of more serious
24 medical department; correct?
24 systemic injury if the exposure was allowed to continue."
25 A Yes, sir.
25 Dr. Kelly, did you ever get any more specific data on the
Kelly, R. Emmet M.D. (fmrMons Med Dir) in BROWN Volume 5
Pages 133 - 136
LEXOLDMONOQ6975
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1 extent of the blackheads described by Doctor or by Elmer P. 1
MR. McCREA: Okay. What, Doctor, would you
2 Wheeler in this letter?
2 describe as the mildest case of chloracne that could be
3 A First of all, he's not a doctor. He is, 1
3 caused by exposure to PCB?
4 believe, a Master's degree. He's an industrial director of
4 A Well, it started as half a dozen blackheads
5 industrial hygiene. Well, 1 called Maig about this, the
5 over the cheekbones.
6 doctor that took care of it, and after the article
6 Q Could it consistent of one blackhead?
7 appeared, and it wasn't very severe frankly. In fact, 1
7 A 1 would doubt very much if it consists of one.
8 think he said one or two of them didn't know they had it
8 1 don't know how you could tell a blackhead there from a
9 until they were called in. All the workers were called in
9 hickey. No, 1 don't think so. 1 think you have to -- You
10 and the doctor examined them, said, "Hey, 1 think we've got 10 diagnose chloracne on the extent of it. Just if there's
11 chloracne."
11 one blackhead, that's not chloracne. You look at
12 Q Would you agree that with this case of
12 pigmentation. You look at several things.
13 chloracne a general practitioner would not necessarily be
13 Q Could chloracne consistent of blackheads only?
14 expected to identify it as he states?
14 A Blackheads only?
15 MR. CARNEY: Well, I'm going to object. 1
15 Q Yes, sir.
16 think it would call on this witness to speculate about some 16 A It's possible.
17 unknown general practitioner, what he might or might not
17 Q Is that a permanent condition?
18 find with regard to a mild case of chloracne which referred 18 A No, sir. It depends again. Now, how
19 to in this letter which 1 think was a reference to a Maigs
19 permanent is permanent? For the rest of its life?
20 article.
20 Q Yes, sir.
21 A 1 think it all depends on the interest of the
21 A No, 1 don't think. It might. 1 think
22 general practitioner. He certainly can diagnose acne.
22 sometimes they do. If they turn into cysts, if they get
23 He's seen acne in a lot of cases, and if this were a
23 infected cysts, they have scars which last the rest of
24 peculiar type of acne, he might very well decide to look up
24 their life. If the blackheads are expressed and they were
25 the literature and come out with an answer.
25 removed in exposure, it isn't permanent.
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1 Q (By Mr. McCrea) Does this suggest that an
1 Q Do you agree with the statement that this
2 individual could have chloracne as a result of exposure to
2 condition of blackheads could be an indication of more
3 PCBs and that that condition could easily go undiagnosed by 3 serious systemic injury if the exposure were allowed to
4 his general practitioner?
4 continue?
5
MR. CARNEY: I'm going to object. Your covered
5 A Well, yes, if the exposure were allowed to
6 these questions several days ago at length. There was
6 continue, yes, but if the exposure were allowed to
7 about a half hour's worth of questions about that, and now
7 continue, then exposure were severe, you'd have more than
8 you're coving it repetitiously again, so it's
8 blackheads. You'd have -- you might have widespread
9 repetitious.
9 chloracne. You wouldn't get systemic injury if you just
10 A Well, somebody diagnosed those cases because
10 had a few blackheads.
11 that's how Maigs got the word around. So it wasn't Maigs
11
Q Isn't it a sign of systemic injury that you
12 that diagnosed them. It must have been a general
12 have blackheads?
13 practitioner up there in Connecticut someplace.
13 A You wouldn't get any other systemic injury.
14 Q (By Mr. McCrea) Didn't it say an industrial
14 Yes, 1 believe the blackheads are a systemic reaction to
15 physician?
15 the chloracne, to the PCBs. It's not a local skin contact,
16 A 1 don't know. Did it? 1 don't --
16 but you would not, it would not necessarily mean that he
17 MR. CARNEY: I'm going to object. You're
17 had any other systemic effects rather than that limited
18 asking him to -- The Maigs article would be the best
18 amount of chloracne.
19 evidence of what it says, and this is just a brief summary
19 Q Doctor, can you turn to page 64?
20 of what was in that Maigs article.
20 A Yes, sir.
21 A 1 think they refer to Maigs at that time, but
21 Q Do you know why this document was
22 Maigs didn't go out at the plant to look at them. 1 think
22 confidential?
23 somebody saw these people in chloracne and decided to
23
MR. CARNEY: Let me object. 1 don't think
24 call in the industrial medical department of the state of
24 you've established any foundation that the doctor saw this
25 Connecticut.
25 document during the time he was employed by Monsanto.
Kelly, R. Emmet M.D. (fmrMons Med Dir) in BROWN Volume 5
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1 Q (By Mr. McCrea) Dr. Kelly, did you review
1 wrote 1 do not believe was written by any medical
2 this document or read this document while you were medical 2 authority.
3 director at Monsanto Company?
3 Q Will you turn to page 78, please?
4 A Not that 1 remember. 1 wouldn't have the
4 A 78?
5 slightest idea why it's marked confidential.
5 Q Yes, sir.
6 Q You recognize this as a Monsanto Company
6 A Yes, sir.
7 document?
7 Q Are you familiar with the corporate
8 A Well, 1 can't tell. The name is on there,
8 development committee as it existed at Monsanto Company on
9 but 1 don't know whether that's a Monsanto document or not. 9 April 22, 1968?
10 Q Do you recognize the names of the preparers
10 A Yes, sir.
11 of the document, J. W. Molloy and R. G. Moody?
11 Q Can you tell us what the positions were of the
12 A No, sir, 1 do not.
12 gentlemen listed on page 78?
13 Q It has a date of July 1964; correct?
13 A Well, Charlie Sommer was chairman of the
14 A Correct, on --
14 board. 1 don't know if Ed Bock was the president at that
15 MR. CARNEY: You read it on the document.
15 time or whether he was executive vice president. Christian
16 A On the document it's correct, yes.
16 was a vice president. Gillis was a vice president.
17 MR. McCREA: Yes.
17 Mueller was a vice president. O'Neal was a vice president.
18 A Yes, that's correct.
18 He was later chairman of the board. Throdahl was a vice
19 Q (By Mr. McCrea) Can you turn to page 70? Can
19 president, and Flitcraft was a secretary.
20 you explain to the jury the difference -- strike that. On
20 Q On page 79 there is a reference or an excerpt
21 page 70 under the heading "Safety and Housekeeping" there 21 from the minutes at the bottom. Do you see that?
22 is a subparagraph six and then a list of chemical
22 A Yes, but I'll have to assume that this is an
23 compounds. Is that correct?
23 excerpt from the minutes. 1 mean, 1 don't know of my own
24 A Yes,sir.
24 knowledge that this is an excerpt from the minutes.
25 Q Do you see B?
25 MR. CARNEY: 1 don't think there has been any
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1 A B?
1 foundation that Dr. Kelly was oon he corporate development
2 Q B.
2 committee, and 1 don't think there's been any foundation
3 A Yes.
3 and 1 doubt that he was in attendance at the April 22, 1968
4 Q Which says "Byphenyl"?
4 meeting, and it doesn't at least show that he was in
5 A Yes, sir.
5 attendance, so 1 don't know what purpose reading some
6 Q Is that a PCB without the chlorine?
6 minutes that haven't been authenticated is to Dr. Kelly.
7 A Well, you cannot have a PCB unless you have a
7 It might be more appropriate if you ask questions of the
8 chlorine. This is a biphenyl. So PCB is chlorinated
8 people who were at the meeting.
9 biphenyl.
9 Q (By Mr. McCrea) Dr. Kelly, in 1968 were you
10 Q What are the chemical elements in a biphenyl?
10 familiar with the marketing projections of Monsanto for
11 A Carbon and hydrogen.
11 PCBs?
12 Q Do you have an opinion as to the toxicity of
12 A No, sir, 1 was not.
13 the biphenyl compared to polychlorinated byphenyl.
13 Q Would you turn to page 80?
14 A Yes, 1 think it's less toxic.
14 A Yes, sir.
15 Q Do you agree with the last sentence in the
15 Q Can you identify the document on page 80 with
16 right-hand column under biphenyl which states, "Inhalation 16 a date of March 3, 1969?
17 of biphenyl fumes is not recommended since it can cause a 17
A Yes, that is a document written by Elmer P.
18 drugged effect on the person"?
18 Wheeler or somebody. 1 don't know whether it was a
19 A Well, 1 don't know why that last sentence is
19 publication or in-house use or out-house use, extra house
20 in there. 1 would say, "Inhalation of biphenyl fumes or
20 use. Sorry. On second thought, it must have been sent
21 any other fumes is not recommended," period.
21 outside. Whether it went outside to customers or to whom,
22 Q Do you know what it meant by drug effect?
22 1 don't know, or to other people in the industry, 1 don't
23 A No, 1 don't know, but something like gasoline,
23 know.
24 1 suppose. If you inhale gasoline fumes you get a jag. 1
24 Q All right, sir. The date of this document is
25 imagine what this is, what they call it. What this man
25 what?
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Pages 141-144
LEXOLDMONOQ6977
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1 A March the 3rd, 1969.
1 Q And this again is the corporate development
2 Q Will you address your attention to the fifth
2 committee?
3 paragraph on page 81.
3 A Yes, sir.
4 MR. CARNEY: Which was page two of the
4 Q Can you identify the people on that document?
5 document?
5 A Yes, sir. Ed Bock, 1 think he was the
6 MR. McCREA: Correct.
6 president of the company. He was chairman of the corporate
7 A The fifth paragraph, yes, sir.
7 development committee. Bible was a vice president. Gillis
8 Q (By Mr. McCrea) It start PCBs are.
8 was a vice president in charge of sales. Putzell was the
9 Paragraph states, "PCBs are used in several quote, 'plastic 9 secretary of the company and general counsel. Charlie
10 type', quote, applications. Here the chemical is
10 Sommer was the chairman of the board of the company.
11 incorporated into the polymer as an integral part of the
11 Throdahl was vice president in charge of research, 1
12 solid material. This applies whether the polymer is used
12 believe. John Ehlets was a lawyer who was a secretary of
13 as an adhesive, an elastomer or surface coating." Is that
13 the committee.
14 an accurate statement?
14 MR. CARNEY: When you're asking him to
15 A Yes, sir.
15 identify the document, are you saying the, can he identify
16 Q Do you know for what period of time PCBs had
16 this as the minutes that were taken on the 28th?
17 been used in plastic type applications by Monsanto?
17 MR. McCREA: No, I'm asking him to identify
18 A No, sir, 1 don't. 1 know when they were
18 these people.
19 stopped. 1 think they were stopped around 1970.
19 MR. CARNEY: Okay. And identify the document,
20 Q Will you turn to page 83?
20 you weren't asking hem to identify that these, in fact, are
21 A 83?
21 the minutes, are you.
22 Q Yes, sir.
22 MR. McCREA: No.
23 A Yes, sir.
23 MR. CARNEY: 1 didn't think you were.
24 Q The date of that document is what?
24 Q (By Mr. McCrea) Have you seen this document
25 A April the 14th, 1969.
25 before today?
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1 Q Do you recognize it?
1 A 1 think 1 saw it yesterday.
2 A Yes, 1 recognize it.
2 Q All right. Are you familiar or is - On page
3 Q Do you know what it meant by the second
3 86, Dr. Kelly.
4 sentence in the second paragraph, "We can't really satisfy
4 A Yes, sir.
5 pollution people with this explanation"? Do you know?
5 Q It states, "Organic Division Appropriation
6 A 1 would -- again this is a surmise. It looks
6 Request Number CEA-2080 for $1,100,000 for solid Aroclor
7 like they were getting the Aroclor back and putting it into
7 expansion - Anniston." Can you tell us what is meant by
8 operations that they thought were not, were not likely to
8 solid Aroclor expansion?
9 leak into the environment, and they also said the pollution
9
MR. CARNEY: I'll going to object here. 1
10 people may think this is probably not correct. It may leak
10 don't think there's any testimony that the witness was at
11 into the environment.
11 this meeting, and so this might call for him to speculate
12 Q Can you turn to page 85?
12 as to whoever took these minutes, what they meant by
13 A 85?
13 putting some words down that probably were a very brief
14 Q Yes, sir.
14 summation of what was said.
15 A Yes, sir.
15 A Well, some Aroclors are solid, and that's what
16 Q Well, first can you go back and identify the
16 solid means, solid like a piece of ice or a lump of coal.
17 people at the top of page 83, Olson, Bryant, Kountz, Kuhn 17 Expansion means they were going, presumably they were going
18 and Johnson? Do you see that, sir?
18 to expand the production facilities of Anniston for this
19 A Yes. Don Olsen was, 1 thought, in marketing.
19 solid Aroclor.
20 1 don't remember any of the other names.
20 Q (By Mr. McCrea) Do you know in what products
21 Q Now, can you turn to page 85?
21 they were used?
22 A Yes, sir.
22 A They were not used electrically, in
23 Q The date of this document is April 28, 1969.
23 electrical. 1 don't know.
24 Is that correct?
24 Q Turn to page 87.
25 A Yes, sir, yes, sir.
25 A Yes, sir.
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Pages 145 - 148
LEXOLDMONOQ6978
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1 Q At the bottom of the page it states,
1 as to whether Aroclors escape from end products, either
2 "Monsanto's worldwide Aroclor business amounts to 104 m 2 through leaching or by dispersal in burning." Would you
3 pounds a year." Is that -- what it that?
3 agree with that statement as being accurate?
4 A Million.
4 A Yes, sir.
5 Q And the says, "70 m." Is that 70 million
5 MR. CARNEY: We've got less than two minutes.
6 pounds?
6 Q (By Mr. McCrea) Can you turn to page 89?
7 A That's correct.
7 There a list of paragraphs there one, two, three through
8 Q "Used in the functional fluids." Is that like
8 12. Do you see those?
9 capacitors and transformers?
9 A Yes, sir.
10 A Capacitors, transformers, heat transfer units,
10 Q And were you familiar with this plan of action
11 hydraulic fluids.
11 as described on page 88 and then itemized on 89?
12 Q All right. And "34 million pounds in the
12 A Yes. Let's read the recommended plan of
13 plasticizers." Can you give us examples of plasticizers?
13 action that's on page 88. This is to establish the
14 A Well, waxes and lubricants. 1 think they were
14 tailored program for each business group and each customer
15 putting some of it in vinyl sheeting. I'm not sure. They
15 market situation to assure that the loss of PCBs in the
16 were using it in carbonless carbon paper as a plasticizer.
16 environment, if any, is minimal. That's our plan of action
17 Q How much of that went to non-industry people?
17 there. Then one to 12.
18 MR. CARNEY: I'm going to object. I'm not
18 MR. CARNEY: We're off the tape. We'll have
19 sure that this witness--
19 to continue.
20 A Non-industry? You mean like who by
20 (Thereupon, a short recess was taken.)
21 non-industry?
21 Q (By Mr. McCrea) Dr. Kelly, directing your
22 MR. McCREA: Consumers that would use the
22 attention to page 89, do you see paragraph six and seven or
23 product outside of an industry setting.
23 itemization six and seven?
24 MR. CARNEY: You mean in the home?
24 A Yes, sir.
25 MR. McCREA: Correct.
25 Q Were these part of the plan of action as you
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1 MR. CARNEY: 1 don't know that this witness --
1 knew it?
2 Well, if he can answer it.
2 A Yes. Let me read the plan of action.
3 A 1 don't know. 1 think the only one that you
3 Q Yes, sir.
4 can possibly use was the carbonless carbon paper.
4 A This is fromthe corporate development
5 Q (By Mr. McCrea) Can you turn to page 88?
5 committee meeting of November the 17th, '69 at which 1 was
6 A Yes, sir.
6 present. That's on page 87. It shows me as being present,
7 Q At the bottom of the document it states, "Plan
7 and the recommended plan of action is to establish a
8 of Action - H. S. Bergen and J. E. Springgate."
8 tailored program for each business group and each customer
9 A Yes, sir.
9 market situation to assure that the loss of PCBs in the
10 Q Who is Mr. Bergen?
10 environment, if any, is minimal. Now we go to page 89. Do
11 A Well, heand Springgate were the top people in
11 you say six and seven?
12 the department that were the product managers for PCBs.
12
Q Yes, sir.
13 That meant they were in charge of production, marketing,
13 A Yes, sir. Any questions?
14 research.
14 Q Yes. At this meeting in which you were
15 Q On the date of November 17, 1969 the statement
15 present, number six and on the agenda states, "Introduce to
16 is made in the "Plan of Action, "The availability of
16 market replacement products for Aroclor 1254/1260." What
17 alternate products to satisfy customer requirements was
17 replacement products were considered on that date?
18 reviewed. Main problems are that no replacement product is 18
A 1 think they were all gleams in the eye. 1
19 available for capacitors and replacement products for other 19 don't think they had any. They were potential products in
20 uses pose a pollution problem." Is that an accurate
20 the research group. 1 don't believe they had any ready to
21 statement as of November 17, 1969?
21 go in market.
22 A Yes, sir, it is. Pollution means pollution to
22 Q Were they chlorinated hydrocarbons or were
23 the environment.
23 they non-chlorinated hydrocarbons?
24 Q And is it -- All right. And then the next
24 A They may have been either one, but 1 don't
25 paragraph, "In plasticizer uses, evidence is not available
25 know because it said develop them, and 1 don't know when
Kelly, R. Emmet M.D. (fmrMons Med Dir) in BROWN Volume 5
Pages 149 - 152
LEXOLDMONOQ6979
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1 they're going to develop. 1 was not -- That wasn't part of
1 it our effluent stream.
2 my responsibility. That was the research department's
2 Q But Monsanto assumed that responsibility?
3 responsibility. They were supposed to develop, introduce
3 A To educate the customers. 1 mean, there are
4 to market replacement products, but also, 1 believe they
4 two responsibilities there. One is to stop it and the
5 had to develop them.
5 other is to tell the people the need to reduce it, and so
6 Q Number seven status, "Continue and expand
6 Monsanto certainly educated the customers on the need to
7 biodegradation test program with Aroclor series,
7 reduce and effectively control PCB effluents in their
8 particularly 1242, 1248 and 1254." Can you describe that
8 plants.
9 for us?
9 Q In items one through 12, were human health
10 A You mean describewhat thetest program was?
10 effects a consideration?
11 Q Right.
11 A 1 would say --
12 A No, sir, but I'll tell you what it was. They
12 MR. CARNEY: I'm sorry. Which items?
13 were testing how you get Aroclors that are in the
13 A On number eight it was when we said continue
14 environment to biodegrade faster.
14 the toxicological test program because we did not know what
15 Q What was the thinking at that time as to how
15 the feasibility, what the long term effects of small
16 that should, could be done?
16 amounts of PCB, if taken or when taken in the food, might
17 A 1 can't answer that.
17 be.
18 Q Was there any plan under the plan of action to
18 Q (By Mr. McCrea) Did you tell people to whom
19 replace Aroclor 1242 with a non-chlorinated hydrocarbon? 19 you sold PCBs that you did not know the long term effects?
20 A 1 don't know, but if you see in channel
20 MR. CARNEY: Well, let me object to it. The
21 number ten they were going to talk about seeing if they
21 question is vague unless you explain what you mean by long
22 could eliminate two of the carbon atoms from Aroclor 1242 22 term effects. Long term effects in rats, in rabbits, in
23 and 1248.
23 birds? I'm not sure what you're talking about there.
24 Q Do you know if on this date there was any plan
24 Q (By Mr. McCrea) You may answer if you recall the
25 to replace Aroclor 1242 with a non-chlorinated product?
25 question.
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1 A 1 think they would be happy to do it if they
1 A Yes, 1 told people of any - quite a number of
2 had one that worked that had inflammability and it was a
2 people called me up and 1 said, "To the best of our medical
3 good dielectric.
3 opinion, there are no long term health effects from the
4 Q Number three, it states, "Reduce and
4 ingestion of PCB in the amounts that are present in the
5 effectively control PCB effluents from Monsanto plants."
5 food." 1 told them that I've consulted with the government
6 Why was that part of the plan of action?
6 about it and showed them what we were doing and what our
7 A Well, we couldn't very well talk to our
7 preliminary results are, and 1 told them that from, my
8 customers and say, "Don't let the PCBs go into the
8 opinion was there would be no problem.
9 environment," if we were doing it ourself.
9 Q Did you tell people on the date of 1969 that
10 Q Was an effort made to reduce and effectively
10 you were going to conduct a toxicological test program to
11 control PCB effluents from Monsanto plants?
11 determine the long term effects?
12 A Oh, yes, a very successful one.
12 A I'm sure 1 did. I'm sure 1 said we are, have
13 Q Did you feel that was necessary to protect the
13 tests under way to reinforce my opinion.
14 environment?
14 Q And you expected those tests to show there
15 A Yes.
15 were no long term effects?
16 Q Number four, "Educate customers on need to
16 A 1 expected them - 1 expected some of the
17 reduce and effectively control PCB effluents at their
17 tests to show it. Certainly when you do a test you want to
18 plants." What was format of the education program?
18 get positive results in some of the levels, but 1 was also
19 A 1 don't know. That was not part of the
19 sure we'd come up with a safe level.
20 medical department's responsibility.
20 Q Did any of the other itemizations under the
21 Q Did Monsanto take on that responsibility?
21 plan of action relate to human health?
22 A To educate the customers on the need to reduce
22 A 1 don't think so.
23 them? Yes. You must recognize, they said the need the
23 Q Did Monsanto ever consider who in the United
24 reduce it. They couldn't very well tell them how to reduce
24 States had the most exposure to PCBs and where the greatest
25 it because they didn't know what other compounds went into 25 need was to concentrate on the prevention of disease
Kelly, R. Emmet M.D. (fmrMons Med Dir) in BROWN Volume 5
Pages 153 - 156
LEXOLDMON006980
Page 157
Page 159
1 processes?
1 setting. Now, that's a little different statement.
2 MR. CARNEY: Objection to the form of the
2 Q Then obviously there was no corresponding
3 question, compound.
3 increase in education?
4 THE WITNESS: Will you repeat the question?
4 A There was not an increase in education. We
5 (Thereupon, the reporter propounded the pending
5 had carried out an educational program since the products
6 question.)
6 were introduced, and we had no reports of any ill effects
7 A Well, you have two questions there. 1 didn't
7 from our customers.
8 know who had the most exposure. 1 knew who the people who
8 Q The bottom of that page it states, "The status
9 used the most material, but 1 didn't know the perimeters of
9 of Aroclor 1242 should continue to be tested to determine
10 their exposure. GE and Westinghouse certainly were the
10 whether it contributes to this problem." Is that the
11 large users of the material. Westinghouse had information
11 environmental problem?
12 that we had sent them. Westinghouse had information that
12 A Yes, sir.
13 they had carried out themselves on the inhalation and
13 Q And what was the result of that testing?
14 feeding of PCBs.
14 A Well, 1 think they thought it would biodegrade
15 So 1 knew they were all larger user, large users,
15 and they found out later that it did not biodegrade as much
16 but 1 didn't know the amount of exposure. We had told them
16 as they thought it would, so eventually they discontinued
17 what the recommendations were as far as safe handling
17 the use of Aroclor 1242.
18 procedures and that if their followed them, we knew they
18 Q As of 1969 there was no plan to eliminate
19 would have no trouble.
19 1242?
20 Q Was there any change in the manner in which
20 A Well, 1 don't know whether there was or not.
21 Westinghouse - strike that - the manner in which Monsanto
21 They were going to change the type of configuration of
22 attempted to prevent contamination of workers during this
22 Aroclor 1242, and 1 don't know. 1 think that the, in the
23 period of time, 1969?
23 back of their head was if they couldn't eliminate the five
24 MR. CARNEY: Objection to the form of the
24 and six, the chlorine from the five and six positions, that
25 question. 1 don't know what you mean by manner. It
25 they might very well have thought, "Well, we'll have to get
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1 contains undefined terms.
1 out of the 1242." They at that time thought it was going
2 Q (By Mr. McCrea) Let me restate that. In
2 to be biodegradable, and when they found out later that it
3 paragraph four you state as part of the plan of action to,
3 wasn't biodegradable, then they decided to get out of the
4 "Educate customers on need to reduce and effectively
4 1242 business, also.
5 control PCB effluents at their plants." Was there any -
5 Q Dr. Kelly, in Plaintiffs Exhibits Three, in
6 Was there any program to educate customers on the need to 6 your letter to Dr. Herbert Blumenthal on April 8, 1970 you
7 reduce and effectively control PCBs in the workplace so as
7 stated, "Secondly, we have essentially a crash program
8 to prevent contamination of workers?
8 underway to find non-persistent, non-chlorinated
9 A We had told them that from the time we started
9 substitute products." Was there a crash program under way
10 selling them the material. We did not increase our
10 on April 8, 1970 to find non-persistent, non-chlorinated
11 warnings. Remember, this whole problem was not because o 11 substitute products for Aroclor 1242?
12 problems with workers. This whole plan of action was to
12 A If that's when 1 wrote the letter there was. 1
13 decrease the, to decrease the environmental contamination 13 certainly didn't lie to him. Yes, if 1 in April 8th,
14 which was causing birds to lay, to lay eggs without shells,
14 1970, which is now four months after, five months after
15 and we were afraid you could kill a whole species of birds.
15 these minutes that I've been reading from, we did have
16 Q So in 1969 there was no increased concern
16 essentially a crash program that defined non-persistent,
17 about the PCB health effects on workers?
17 non-chlorinated substitute products, yes.
18 A 1 didn't say that. Is that a question?
18 Q For 1242?
19 Q 1 thought you did say that.
19 A For all of them.
20 A No, 1 didn't.
20 Q Is that, to your knowledge, documented
21 MR. CARNEY: 1 didn't hear that, either.
21 anywhere in the minutes of Monsanto Company?
22 Q (By Mr. McCrea) Was there an increased
22 MR. CARNEY: I'm going to object unless you
23 concern in 1969 by Monsanto Company with regard to the 23 can establish that this witness has reviewed all the
24 health effects on workers exposed in an industrial setting? 24 minutes of the company over the last 30 or 40 years.
25 A No, sir, there wasn't in an industrial
25 Q (By Mr. McCrea) Doyouknow if the crash
Kelly, R. Emmet M.D. (fmrMons Med Dir) in BROWN Volume 5
Pages 157-160
LEXOLDMONOQ6981
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1 program to find non-persistent, non-chlorinated substitute
1 A Well, as 1 mentioned Bergen and Springgate
2 products for Aroclor 1242 is documented in any minutes or
2 before, they were either the product managers or one of
3 any letters or memoranda which you have read?
3 them was a boss, one was a number two in the PCB
4 A Well, which 1 have read?
4 department. Minckler was head of the, vice president, head
5 Q Yes.
5 of the organic division of Monsanto Chemicals Company,
6 A Yes, it certainly was documented in the things
6 whichever it was called at that time. Phosha Park was a
7 that 1 have read because 1 didn't pull this second
7 man in the environmental department.
8 paragraph out of thin air. 1 didn't make it up. 1
8 Q Was he also a lawyer?
9 knew they had a crash program under way. Whether that
9 A He was a lawyer in the environmental
10 documentation still exists or not, 1 can't tell you, but 1
10 department.
11 knew it. Otherwise, why would 1 write to them?
11 Q All right. Springgate?
12 Q What was the Aroclor 1016 product?
12 A Springgate is the same as Bergen.
13 A What was it?
13 Q This letter went to W. B. Papageorge?
14 Q Yes?
14 A That's correct.
15 A It was a chlorinated compound that was
15 Q WPAPA stands for what?
16 chlorinated to 16 percent.
16 A That's the code number for the mailing
17 Q And did that replace the Aroclor 1242?
17 department. That's like a ZIP code. William P-A-P-A,
18 A In some instances it did, yes.
18 PAPA. Just like I'm RKEL.
19 Q Do you know when the program was commenced to 19 Q In the first sentence you state, "We have been
20 develop Aroclor 1016 in relationship to your letter dated
20 in communication with Dr. Hill of the Ohio State Board of
21 April 8, 1970?
21 Health." Does that include you?
22 A No, sir, but 1016 is a chlorinated product and
22 A It includes members of the medical department.
23 I'm talking in my letter of April the 8th, they were also
23 1 think Wheeler was the one that was doing most of the
24 looking for non-chlorinated. 1016 is non-persistent, but
24 communicating with Hill.
25 they were also looking for non-chlorinated. 1016 is
25 Q Did you talk with Dr. Hill?
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1 chlorinated.
1 A 1 may very well have. 1 don't recall.
2 Q Why did they use the number 1016?
2 Q You state, "He has found PCB, particularly
3 A Because it's biodegradable.
3 Aroclor 1254, in samples of milk from at least three herds
4 Q Why did they use the number 16 in the 1016?
4 in Ohio." Is that information based on a communication to
5 A 1 believe it's because it was chlorinated to
5 you by Dr. Hill?
6 16 percent of -- The average chlorination was 16 percent.
6 A Either to me or to Wheeler to me.
7 Q Isn't it a fact, Dr. Kelly, that it contained
7 Q "He has traced this contamination back to
8 41 percent chlorine and there was no rhyme or reason to
8 silage from three different silos." Again, was that a
9 calling it 1016?
9 communication made by Dr. Hill to either Wheeler or
10 A 1 don't know that.
10 yourself?
11 Q Can you turn to page 90? Do you see the
11 A Yes, sir.
12 document on page 90 and then, Dr. Kelly, do you also see 12
Q "Dr. Hill reported concentrations of 0.2 parts
13 the document on page 91 ?
13 per million of PCB on the silage in the center of the silo
14 A Yes, sir.
14 and up to 20 parts per million in the material next to the
15 Q And 90 states, "Retyped for Legibility." Do
15 walls." Again, that's a communication from Hill to Wheeler
16 you see that at the top?
16 or you?
17 A Yes, sir.
17 A Correct.
18 Q Did you write this memorandum?
18 Q "He also stated that concentrations in the
19 A Yes, 1 did.
19 milk were between 0.1 parts per million and 0.6 parts per
20 Q The date of the memorandum is what?
20 million and that some of the milk had been destroyed." On
21 A March 30th, 1970.
21 the date of March 30, 1970, what was the recommended FDA
22 Q Did the individuals at the upper right-hand
22 limit?
23 corner receive copies?
23 A 1 don't think they had one.
24 A Yes, they received them.
24 Q Did that concern you, Dr. Kelly, that PCBs
25 Q Who are those individuals?
25 were getting into milk from the silage?
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Pages 161-164
LEXOLDMONOQ6982
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1 A Yes, it did.
1 Q You do recognize that as potentially being
2 Q Did that concern you as to potential human health
2 important?
3 effects?
3 A Oh, certainly.
4 A Potential with a question mark, yes. It also
4 Q Because this wasn't the only silo with PCBs
5 concerned me, 1 don't believe milk should be contaminated
5 in it?
6 with anything, whether it's PCB or dirt.
6 A Well, there were three of them.
7 Q "The silos were concrete silos whose interior
7 Q Weren't there 50 others?
8 surfaces were painted in 1967 using a formulation that
8 A There may have been, but we're talking now
9 contained 1254." Were you knowledgeable in March 30, 197C 9 about March the 30th, 1970, and 1 don't know whether 50 is
10 that PCBs had been used to coat interior surfaces of silos
10 correct or not.
11 without having had this communication from Dr. Hill?
11 Q "The presence of PCB in the silage came from
12 A 1 don't remember whether 1 was or not. 1
12 flaking off of the material and possibly from leaching out
13 certainly wasn't knowledgeable in 1967 because 1 don't
13 during the silage storage." How do you know that?
14 think 1 had heard about it until -- there may have been
14 A Well, 1 would imagine that's the only two ways
15 something in some of the newspapers or something about this 15 you can get the PCB out. The paint either flaked off or
16 that 1 may have found out, but 1 wasn't knowledgeable about 16 the silage leached the stuff out. There's no other way to
17 it for very long before this communication.
17 get it.
18 Q When you wrote the letter that we spent some
18 Q How would the silage leach the PCB from the
19 time discussing back on page 57, did you send that letter
19 plastic coating?
20 to marketing people at Monsanto?
20 A Because you're fermenting it and you're
21 A Where is the letter now?
21 getting god knows what sort of chemicals as a result of -
22 Q That's the letter from you to Dr. J. W.
22 You get acid chemicals from fermentation inside a silo and
23 Barrett.
23 that has an action on the paint.
24 A Well, that was to England.
24 Q How did you figure that out?
25 Q Did you send it to your marketing people in
25 A Well, 1 guess my knowledge of PCBs and paint.
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1 the United States?
1 Q Did you know that --
2 A Well, I'll look. No, 1 didn't.
2 A And silos.
3 Q The next sentence in paragraph two state, "1
3 Q Did you know that in 1967?
4 don't know" -
4 A No, because 1 never knew that it was used in
5 A Where are we now? Which page are we now?
5 1967 in a silo.
6 Q Right, yes, sir, page 90?
6 Q If someone had asked you in 1967, would you
7 A We're back on 90.
7 have given them that information based on your knowledge of
8 Q The March 30, 1970 memorandum to Mr.
8 paint?
9 Papageorge.
9 A 1 wouldn't know whether 1 would or not at that
10 A Yes, sir.
10 time.
11 Q Second sentence, paragraph two. "1 don't know
11 Q Did you have that working knowledge in 1967
12 if there was any other Aroclor in the formulation nor do we
12 even though you didn't know PCBs were used in a plasticizer
13 know if the coating - nor do we know the coating
13 in silos.
14 manufacturer; although, this could be found out if
14 MR. CARNEY: And you're asking about the
15 important." Did you determine the name of the coating
15 knowledge about paint, PCBs and silos?
16 manufacturer?
16 MR. McCREA: The fermentation and the acid
17 A Well, 1 gave that problem to Papageorge. By
17 leaching out the PCB.
18 that time he was man in charge of the PCB problem. He was 18
A What was the question again then?
19 the point man in the whole situation.
19 MR. McCREA: Would you read it back, please?
20 Q Do you know if Mr. Papageorge expressed your
20 (Thereupon, the reporter propounded the pending
21 concerns to the coating manufacturer relating to the
21 question.)
22 contamination of the milk caused by the PCBs in the silos? 22
A 1 don't believe 1 did because of several
23 A Frankly, 1 don't know if he could ever find the
23 reasons. One, 1 had no knowledge if it was being used
24 coating manufacturer, but to answer you question, 1 don't
24 there, and if there were any used there, there were no
25 whether he did or not.
25 reports in '67 that the material was getting into the
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
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1 silage and getting into the milk, so 1 did not have any
1 Q Did Monsanto pay for it?
2 idea at that time.
2 A 1 said 1 don't know.
3 Q (By Mr. McCrea) Explain the process as to how
3 Q Did Monsanto offer to pay for it?
4 the fermentation of the silage and the acid leaches the PCB 4
A 1 don't know.
5 from the plasticizer.
5 Q And the loss to the farmer was how much
6 A It dissolves the paint and the PCB comes out
6 according to your calculations?
7 of the paint.
7 MR. CARNEY: Well, you're assuming that that
8 Q How was that established?
8 was the farmer and, you know.
9 A 1 don't know how it was established.
9 A Well, whoever owned -
10 Q Well, how did you come to that information?
10 Q (By Mr. McCrea) The cost?
11 A Well, as 1 told you before, there are only a
11 A Whoever owned the 150 tons of silage that was
12 couple of ways it can get out of there. You've got this
12 destroyed, it would cost $30 a ton. Whoever owned tha
13 paint, a solid thing on the wall and either flakes out, it
13 silage had an expense of $4,500.
14 come out or it's dissolved by some of the material in the
14 Q In your opinion, was the silo of any value
15 silage. Nobody's in there scraping it off.
15 with the PCB plasticizer inside of it?
16 Q Have you ever stepped into a silo?
16 A Was it of any value? Yes.
17 A Yes.
17 Q Could they reuse that silo?
18 Q With a PCB plasticizer on the walls?
18 A Yes, they sandblasted it and reused it.
19 A No.
19 Q Do you know what the cost of the sandblasting
20 Q Have you ever asked a farmer to describe what
20 was?
21 it is like to be in a silo with silage in it with PCB in
21 A No, 1 don't.
22 the plasticizer?
22 Q And your testimony is that this silo was
23 A No, but I've asked the farmer to describe how
23 sandblasted?
24 he's in the silo with no paint at all or enamel silo.
24 A No, 1 didn't say that a all.
25 There are an awful lot of fumes in there. There are
25 MR. CARNEY: You asked him if it was of any
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1 nitrous fumes in there. There was acid fumes. There's
1 value. 1 think he was saying that it --
2 quite a possibility for chemical reaction to go on in the
2 Q (By Mr. McCrea) You said - Excuse me. Did
3 silo.
3 they sandblast this particular silo?
4 Q But you've never specifically asked a farmer
4 A 1 don't know.
5 what it was like?
5 Q All right. Do you know what happened to the
6 A No.
6 silo?
7 Q To be inside a PCB coated silo?
7 A 1 don't know.
8 A No, sir.
8 Q Do you know if the farmer look a loss on it
9 Q Next, "At present they will have to destroy
9 because of the PCBs?
10 about 150 tons of silage which is valued at about $30 per
10 A 1 don't know that.
11 ton." When you say they, to whom are you referring.
11 Q Do you know - and you don't know if he had to
12 A 1 would imagine the people who owned the silo
12 replace it with another silo?
13 or the Ohio State Board of Health is telling them to
13 A 1 don't know whether he did or not.
14 destroy the silage.
14 Q Did you ever communicate with the farmer?
15 Q Other than the fact that there are PCBs in the
15 A No, sir. 1 did not.
16 plasticizers which were manufactured by Monsanto and sold 16
Q Then you go onto say, "As a rough guess, they
17 by an unknown coat manufacturer, was there any reason
17 consider there may be 50 other silos involved in Ohio that
18 to destroy the silage?
18 were painted with the same formulation." Would those other
19 A Other than the fact that there --
19 people predictably have the same problems as this farmer?
20 Q Were PCBs in the silos, was there any reason
20 A It's possible.
21 to destroy the silage?
21 Q Did you make any effort to communicate with
22 A Yes, because when the cows ate it, they had
22 those farmers?
23 PCBs in the milk.
23 MR. CARNEY: I'm going to object, you know.
24 Q Who paid for the loss of the silage?
24 He wrote this memo to Mr. Papageorge who was the point man.
25 A 1 don't know.
25 1 think you've got the wrong witness here. Mr. Papageorge
Kelly, R. Emmet M.D. (fmrMons Med Dir) in BROWN Volume 5
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1 is the person who was in charge of Monsanto doing this.
1 Q Has Monsanto ever paid to replace a PCB coated
2 Q (By Mr. McCrea) Did you or anyone else at --
2 silo?
3 Did you make any effort to contract those farmers?
3 A 1 do not know.
4 A 1 did not.
4 Q Do you have any estimate as to how many PCB
5 Q Did anyone at Monsanto make any effort to
5 coated silos there were in the United States as of this
6 locate and contact those farmers?
6 date?
7 A 1 don't know.
7 A No, sir, 1 do not.
8 Q In your opinion, was there a human health, was
8 Q Next sentence says, "All in all, this could be
9 there a potential human health problem as a result of PCBs 9 with quite a serious problem, having legal and publicity
10 in those silos?
10 overtones." What do you mean by publicity overtones?
11 A No, sir.
11 A Well, 1 believe that the publicity, if a
12 Q Didn't you just say that there was a human health
12 Monsanto product were present in the milk, that's bad
13 problem as a result of .6 parts per million?
13 publicity.
14 A No, 1 did not.
14 Q And how would that affect Monsanto?
15 Q In the milk?
15 A Well, Monsanto wants to be a good neighbor.
16 A 1 did not say that. 1 said we didn't want any
16 Monsanto doesn't want PCBs in milk. They don't want PCBs
17 in the milk. We didn't want any contamination in the milk.
17 adulterating food.
18 1 didn't say we didn't want .6 PCB in the milk because
18 Q What efforts did Monsanto make to eliminate
19 there was a health hazard. 1 said 1 don't believe milk
19 the PCB contamination of milk from the PCB plasticizers,
20 should be contaminated with anything.
20 caused by the PCB in plasticizers in silos?
21 Q In your opinion, was there a potential human
21 A You'll have to ask Mr. Papageorge and 1
22 health problem?
22 believe he will tell you that whatever they did. He will
23 A Well, in March 1970 1 don't think we knew.
23 also tell you that it was quite successful because you
24 That's why we're running our long term experiments.
24 don't hear any more about PCBs in milk or in silage.
25 Q Was there a potential human health problem?
25 Q Could that be because they've all been
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1 A Well, 1 said we did not know if there was a
1 condemned?
2 potential.
2 A No, sir, 1 don't believe so, and 1 don't know
3 Q All right. The next sentence says, "They are
3 what you mean by condemned.
4 also looking into the fat contamination of the cows
4 Q Condemned.
5 themselves." Do you know the results of those tests?
5 A Tore down?
6 A No, sir, 1 do not.
6 Q No, condemned, ribbons placed around them
7 Q Did you maintain any communication with Dr.
7 marking condemned?
8 Hill after March 30, 1970?
8 A 1 don't know if anyone ever was. 1 don't
9 A 1 do not recall if 1 did. 1 believe that Mr.
9 know. 1 never saw one.
10 Papageorge may have, but not 1.
10 Q Did you tell Mr. Bergen this was a serious
11 Q Do you know of any herds of cattle which had
11 problem verbally?
12 to be destroyed in the United States as a result of the PCB 12
A Well, 1 wrote him a letter. 1 don't know
13 contamination from silos?
13 whether 1 discussed this memorandum after 1 talked with him
14 A 1 do not know.
14 or not -- after 1 wrote him 1 mean. 1 may have talked with
15 Q Did you offer to assist Dr. Hill in remedying
15 him.
16 this problem?
16 Q You state, "All in all, this could be quite a
17 A Yes, 1 told him Monsanto would do anything
17 serious problem with legal overtones." What are the
18 that we could to cooperate with them in any shape or form 18 legal overtones for Monsanto from this serious problem?
19 and he should contact Mr. Papageorge who could direct Dr. 19
A Well, there again 1 get outside my field, but
20 Hill's request to the proper agency inside Monsanto.
20 1 thought if we were contaminating silage due to our PCBs,
21 Q Did you offer to replace the farmer's silo?
21 the farmer may look to us for remedial action.
22 A 1 personally?
22 Q Did you take any efforts to avoid that
23 Q Monsanto?
23 consequence by going to the farmer first?
24 A That was not my responsibility, To answer it,
24 MR. CARNEY: I'm going to object. You've
25 no, 1 did not.
25 asked this question about six or seven times. He indicated
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1 he didn't know what happened, whether the Monsanto paid the
1 Q You state, "1 think it is very important that
2 farmer or if indeed it was the farmer that owned the
2 this be done." Why?
3 silage. He doesn't know. 1 think he wrote this memo to
3 A Well, we still didn't want PCB in the milk.
4 Mr. Papageorge who was the point man for Monsanto. You've
4 Q "It may be that some of our customers will
5 established that he doesn't know what Monsanto did. 1
5 assure themselves on the basis of non-extractability that a
6 don't know how much clearer that can be made. 1 will
6 particular formulation might be safe, but 1 think we should
7 stipulate that with regard to what Monsanto did with the
7 make a blanket recommendation against these uses." That
8 farmer, Dr. Kelly doesn't know. He's said it very clearly,
8 was your opinion?
9 and 1 don't think asking him three or four times is going
9 A Yes, sir, it was.
10 to move the deposition along.
10 Q And you were adamant about it?
11 Q (By Mr. McCrea) Dr. Kelly, you recognized
11 A Yes.
12 that this could cost Monsanto money?
12 Q And you sent it to everybody you knew who was
13 A That was the least of our problem.
13 of authority in Monsanto?
14 Q What was the most of your problem?
14 A Yes, sir.
15 A We didn't want the milk contaminated.
15 Q Were you a medical doctor?
16 Q Did you suggest to Mr. P. S. Park that
16 A Is that a question? Yes, 1 was and am.
17 Monsanto correct this problem of PCBs in silos?
17 Q Doctor, can you tell us what it is that you
18 A Mr. P. S. Park is a lawyer in the
18 brought to this particular situation that somebody without
19 environmental group. He is a very ethical Monsanto
19 a medical agree could not?
20 employee. He's now retired from Monsanto. 1 clued him in
20 A Well, 1 don't believe that what 1 brought to
21 onto the legal problem, and it is up to him to do it. It
21 this situation was information of a problem, and 1 believe
22 was not up to me to handle any legal problems with
22 1 summarized a problem and sent it to the important,
23 Monsanto.
23 responsible people in the legal department, in the
24 Q Do you know if Monsanto ever calculated the
24 production department, in the marketing department and to
25 number of PCB silos in the United States and what it would
25 the man who was in charge of the environmental aspects of
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1 cost to replace them?
1 PCB.
2 A No, sir, 1 do not know.
2 Whether or not Mr. Wheeler could have done the same
3 Q Last paragraph, "This brings us to a very
3 thing, 1 think he probably could have because there was not
4 serious point"; correct?
4 a great deal of information in there that you need a
5 A Yes, that's what 1 said.
5 medical person to talk about. We don't want PCBs or
6 Q "When are we going to tell our customers not
6 Aroclor in any food, feed or water for animals or humans,
7 to use any Aroclor in any paint formulation that contacts
7 and you didn't have to have a medical degree to know that.
8 food, feed or water for animals or humans?"
8 Q If you had to communicate to the farmers of
9 A Was there a question?
9 this country your expression of concern, what would, how
10 MR. CARNEY: You read that -- you read his
10 would you have done that?
11 words accurately. I'll agree with that.
11 MR. CARNEY: What time are you talking about?
12 A Yes, and 1 wrote that.
12 MR. McCREA: 1970.
13 MR. CARNEY: 1 don't know if there's a
13 A All the farmers in the country, whether they
14 question.
14 have silos or not?
15 Q (By Mr. McCrea) When did you tell your
15 Q (By Mr. McCrea) Correct.
16 customers not to use any Aroclor?
16 A Whether they use PCB paint or not?
17 A 1 do not know when the marketing people told
17 Q Correct. How would you have gone about that?
18 them. 1 do not know if they had already told them by the
18 A 1 would have said -- Well,first of all, 1
19 time 1 wrote Papageorge and 1 didn't know about it, so 1
19 wouldn't have gone about it. 1 would have gone to the
20 cannot answer your question.
20 person whose responsibility it was. There is a man working
21 Q Do you know if it was ever done?
21 full-time on PCBs. I'm in charge ofthe medical
22 A Of my own knowledge did 1 ever, do 1 recall
22 department. We've got lots of other things that are doing.
23 sending a memorandum to the customers? 1 don't know, but 1 23 This man's full-time. He's got his own staff doing it, so
24 would imagine that it was done, but that again is
24 1 would tell him my beliefs and let him do it. 1 would not
25 speculation.
25 communicate with the farmers.
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1 Q Do you know if there was any notification to
1 seen Mr. Papageorge testify about these matters, haven't
2 your insurance carriers of this potential liability?
2 you?
3 A 1 don't know.
3 MR. McCREA: Never, never.
4 Q You knew that Monsanto had used publicity
4 MR. CARNEY: Well, 1 think you have.
5 releases to communicate it's position on PCBs in the past;
5
MR. McCREA: Never. And 1 will represent to
6 correct?
6 you that the elimination of PCBs in plasticizers does not
7 A Yes, sir.
7 solve the problem which Dr. Kelly addressed rather
8 Q Was there any publicity release issued that
8 eloquently on March 30, 1970 of PCBs already in the
9 reflected your concerns on PCBs getting into the milk?
9 plasticizers.
10 MR. CARNEY: 1 might suggest to you, Mr.
10 MR. CARNEY: 1 can say and state for the
11 McCrea, you're trying to -- 1 think you're asking a lot of
11 record that Monsanto did solve the problem very well and
12 these questions to the wrong witness. Mr. Papageorge has 12 with, and they were a very good corporate citizen in the
13 all this information as 1 think you do know, in fact, in
13 way they handled the problem, an excellent corporate
14 this very same exhibit, and 1 refer you to starting on page
14 citizen in the way they handled it. Now, Dr. Kelly may not
15 100 and going through to 115 is a Papageorge document
15 know that because he was the medical director and 1 don't
16 explaining and answering some of these questions.
16 think he knows everything that went on at Monsanto, but 1
17 MR. McCREA: Are silos referenced in that?
17 can state that to you.
18 MR. CARNEY: 1 think plasticizers are at
18 Q (By Mr. McCrea) All right. Well, 1 accept
19 page -
19 what you state and quite frankly don't have that much
20 MR. McCREA: Are silos?
20 information about what they did. Dr. Kelly, after you
21 MR. CARNEY: You were talking about
21 wrote this March 30, 1970 communication to Mr. Papageorge,
22 plasticizers in the silos.
22 did you get any feedback from him, Mr. Bergen, Minckler,
23 MR. McCREA: Is the problem of PCBs flaking
23 Park or Springgate as to the remedies and the, that you
24 and leaching from plasticizers in silos and getting into
24 suggested?
25 the milk of dairy cattle referenced in the Papageorge
25 A 1 may very well have. 1 don't recall it. 1
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1 affidavit dated September 14, 1971, if it's an affidavit?
1 do know that over the years the problem diminished to a
2 MR. CARNEY: 1 think if you look at page 107,
2 zero point.
3 they talk about the plasticizers, eliminating the
3 Q All right. Before March 30, 1970 had you made
4 plasticizers.
4 similar requests verbally?
5
MR. McCREA: Do you see silos mentioned there?
5 A Well, 1 don't think so.
6 THE WITNESS: Are you talk to me or to him?
6 Q Other than this document which speaks for
7 MR. McCREA: No, I'm not, sir. It's hard for
7 itself, Dr. Kelly, do you recall any other efforts on your
8 me to turn all the way around.
8 behalf to see that the customers did not use Aroclor in the
9 MR. CARNEY: You know, 1 think if you'd ask
9 paint?
10 Dr. Papageorge, he would be the one that would be most 10 A Well, 1 never talked to any customers. 1
11 knowledgeable about this. Dr. Kelly was the head of the
11 don't know whether, what Wheeler might have done with
12 medical department.
12 Papageorge. 1 don't know, but to answer your question, 1
13 MR. McCREA: All right. I'll just state for,
13 did not and as 1 said this, you talk like this was in silos
14 not for the jury and not for Mr. Kelly, Dr. Kelly, that
14 all over the country. This was in a pretty small group of
15 there's no reference to silos in that particular
15 areas where this paint was distributed.
16 communication if 1 read it properly.
16 Q Do you know how many silos were involved?
17 MR. CARNEY: 1 didn't say there was, did 1?
17 A No, sir, 1 do not.
18 MR. McCREA: No, but you said 1 could read it
18 Q But if it's one farmer and it's his silo, it's
19 and determine the response.
19 important; correct?
20 MR. CARNEY: No. What I'm telling you is that
20 A Of course it is.
21 what -- You've asked a lot of questions about what Monsanto 21
Q Did you correspond with the FDA about this
22 did with regard to the plasticizers. Did they eliminate
22 problem?
23 them? You've asked lots of questions about how they
23 A Yes, 1 talked to them, and that's when 1
24 noticed or notified the various people in various groups,
24 talked to Dr. Fitchu of the FDA because he knew about it.
25 and 1 think you have that information. You know - You've 25 He asked me how our tests were coming and when we startec
Kelly, R. Emmet M.D. (fmrMons Med Dir) in BROWN Volume 5
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1 them and when we were going to get finished with them.
1 A 1 don't know what it includes, but 1 don't
2 Yes, 1 talked to the FDA about it.
2 even know if there was Aroclor being used in silage, paint
3 Q When you say test, you're talking about what?
3 for silage in April of 1970. If you notice, our
4 A A long-term feeding test.
4 plasticizer sales have dropped down pretty much. It's down
5 Q Did you talk to the FDA about the number of silos
5 to $3 million worth. 1 don't know what it was before, but
6 in the United States with PCBs in them and what could
6 it was considerably higher than that.
7 be done to see that that was not getting into the milk of
7 Q Did that include an aggressive program of
8 dairy cattle?
8 customer education with regard to the customers who had put
9 A Not 1, but 1 don't know whether that came up
9 PCBs in plasticizers where they were existing on farmers'
10 at the time when Colander and 1 went up to see Dr. Fitchu
10 field?
11 and other people of the FDA when we were starting our tests 11
A 1 don't know. This says the division has.
12 which can dated in this letter, 1 believe. Yes, 1
12 The medical department did not. This was a division
13 certainly did, 1 believe. Where are we, March? Yes, 1
13 responsibility. They had Papageorge there. They had
14 antedated that. We told them what we were doing. They
14 Bergen there. They had Minckler, they had Mason, they had
15 agreed with what steps we should do as far as the testing
15 Smith, Springgate, all these people from the division.
16 is concerned, and 1 believe they were cognizant of the fact 16 They're the ones that carried out the aggressive program of
17 that there was PCBs in the milk. Certainly they were.
17 customer education, cooperative efforts with government
18 Now, as far as answering your question did 1 talk to
18 research, etc.
19 the FDA about what we were going to do about getting,
19 Q You see on page 93 it states at the top, "FDA
20 cleaning up this problem with the silage, 1 don't know
20 indicated it was contemplating a residue level of 0.5 parts
21 whether 1 taked to them or not.
21 per million in milk." Do you see that?
22 Q Dr. Kelly, you described earlier in your
22 A Yes.
23 testimony 12 points of a plan of action dealing with
23 Q And did the levels in Ohio exceed that?
24 environmental aspects of PCBs. Did you add to that plan of 24
A Did what?
25 action a recommendation and potential solution for PCBs 25 Q Did the levels in the milk in Ohio exceed that
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1 getting into the milk as a result of their flaking and
1 level?
2 leaching from the plasticizers in silos?
2 A No, sir.
3 A We didn't have to write it out. We knew we
3 Q 1 thought it said 0.6 parts per million.
4 had a problem and got on it. 1 mean, we didn't write it
4 A Did it? 1 don't know. Maybe it did.
5 out and say, "Okay, now we've got 13 plans instead of 12." 5 Q Can you refer to page 90, the last sentence of
6 We recognized the problem and we, and Papageorge started 6 the first paragraph?
7 out to solve the problem and to remedy it.
7 A Page 90? Well, that's a little confusing here
8 Q Can you describe for the jury what he did?
8 because on, when it's retyped it says between 0.1 ppm and
9 A No, you'll have to ask him.
9 0.6 and then the one I'm looking at where it wasn't
10 Q Can you turn to page 92?
10 retyped it says 0.1 and 0.5 ppm.
11 A Yes, sir.
11 Q 1 read that as a six on --
12 Q This, sir is minutes of meeting of the
12 A You want to look at mine?
13 corporation management committee, April 20, 1970. Is that 13
Q 1 accept that you're saying.
14 correct?
14 A Okay.
15 A Yes, sir.
15 MR. CARNEY: Mine says five.
16 Q And you attended the meeting as indicated by
16 Q (By Mr. McCrea) All right. Did Monsanto do
17 your name under the heading "Organic Division - Report of 17 any testing to determine levels of PCB in fish which were
18 PCB Status"?
18 in waters in which Monsanto discharged PCBs?
19 A Yes, sir.
19 A 1 think they may have, yes, sir, but I'm not
20 Q There are figures there representing sales of
20 certain which locations.
21 Aroclor?
21 Q You don't know the results?
22 A Yes, sir.
22 A No, sir, 1 don't.
23 Q You say, "Division has maintained an
23 Q Second paragraph on page 93 references the
24 aggressive program of customer education." Does that
24 targeting of effluent levels. Do you know how those were
25 include the people who put PCBs in plasticizers in silos?
25 established, 50 parts per billion and ultimate target of 10
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1 parts per billion?
1 fires in the transformers in 1970, 1 don't believe there
2 A 1 think that was established by what we
2 was any record of any fires of transformers or fires of
3 thought was feasible. We tried to get down to as low as we 3 capacitors or leaks in -- Well, there were leaks in heat
4 could, as low as we could.
4 transfers at Yusho at that time.
5 Q Third paragraph states, "Sales are being
5 Q Dr. Kelly, if a manufacturing plant called you
6 terminated to a number of industrial users where there are
6 today and asked you if you thought it was advisable to have
7 inadequate possibilities of control for such uses as
7 1,337 PCB capacitors inside their plant, what would you
8 pesticide extenders." What is a pest -- how were PCBs used 8 tell them?
9 on the date of April 20, 1970 as a pesticide extender?
9 A I'd say, "I'd like to come out and look at
10 A Well, 1 think it would be better if you asked
10your plant and see how they're being used."
11 somebody from the agricultural, Department of Agriculture 11
Q Do you think that would present a risk that
12 of the United States Government because they were the ones 12 should be eliminated by replacing the same capacitors?
13 that came out with the idea to use PCB in agricultural as a 13
A 1 would have to make that decision after 1 saw
14 pesticide extender. In other words, you mix this and
14 the installation.
15 presumably it stays around on the plant longer.
15 Q Down under conclusions, Dr. Kelly, it makes
16 It was peanuts as far as our marketing was concerned 16 reference in the first paragraph, the last line to NCR
17 and we were not happy with it, but the government, the
17 application. What does that stand for?
18 Department of Agriculture stated that this is possibly a 18 MR. CARNEY: 1 think we're about to lose our
19 good use for PCBs.
19 tape.
20 Q How were PCBs used in medicinal products?
20 A Well, 1 can answer that real fast. That's a
21 A 1 never heard of it. 1 don't know.
21 carbonless carbon paper, National Cash Register.
22 Q Dental products?
22 MR. McCREA: Thank you. Break.
23 A Waxes.
23 (Thereupon, a short recess was taken.)
24 Q Cosmetics?
24 Q (By Mr. McCrea) Dr. Kelly, we're back on the
25 A 1 don't know.
25 record. On page 93 under conclusions the committee states,
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1 Q Did Monsanto locate these industrial users and
1 quote, "A replacement product should be developed on a
2 then terminate the sales?
2 crash basis for the NCR r application," which stands for
3 A Well, they said they did. Sales were being
3 National Cash Register in the use of PCBs in carbonless
4 terminated to a number of industrial users.
4 paper. Is that correct?
5 Q Did you attend this meeting where it was
5 A That is correct.
6 discussed? It indicates you did.
6 Q And H. L. Minckler was on the corporate
7 A Well, yes, but 1 don't think they elaborated
7 management committee on April 20, 1970; correct?
8 on it anymore than that. They said, "We're terminating
8 A 1 don't think he was.
9 these to a number of industrial users with inadequate
9 Q Well, 1 believe you're right. He was on the
10 possibilities of control," but 1 don't think they put them
10 organic division?
11 out by name.
11 A Yeah.
12 Q When did Monsanto first know that PCBs were
12 Q And J. E. Springgate was a member of the organic
13 used in pesticides, as pesticide extenders?
13 division?
14 A 1 haven't the slightest idea.
14 A Yes, sir.
15 Q The statement is made, "Sales will be
15 Q And H. S. Bergen was a member of the
16 continued for transformers, capacitors and heat transfer
16 organic division?
17 uses which are closed systems or sealed units and which 17 A Yes, sir.
18 permit reclamation or other control of material." Is that
18 Q And were those people participants in the
19 correct?
19 decision to develop a crash program or to develop on a
20 A You read it correctly, yes, sir.
20 crash basis a replacement product for carbonless paper?
21 Q Do you consider transformers, capacitors and
21 A Yes, sir.
22 heat transfer uses as closed systems today?
22 Q And the date of that meeting was April 20,
23 A They are unless something happens to the heat
23 1970?
24 transfer units. Sometimes there are leaks in it.
24 A Yes, I'll take your word for it. I've
25 Sometimes there are fires in the capacitors, but as of
25 misplaced paragraph, page 93. I've got a 92. That's April
Kelly, R. Emmet M.D. (fmrMons Med Dir) in BROWN Volume 5
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1 the 20th, 1970.
1 A Well, what it says is, "A bill to prohibit the
2 Q All right.
2 introduction or delivery for introduction into commerce of
3 A But 1 don't have 93. It must be in here
3 the chemical compound known as polychlorinated byphenyl."
4 someplace.
4 Q And the date is July 26, 1971?
5 Q 1 think the record will reflect that the date
5 A That's correct.
6 of the minutes of the meeting of the corporate management
6 Q Do you have any working knowledge today as you
7 committee was April 20, 1970. And on March 30, 20 days
7 testify of the purpose of H. R. 10085 true introduced by
8 before that, you sent your letter expressing your concerns
8 Congressman Ryan?
9 about the PCBs in milk from the silos to H. S. Bergen, H.
9 A Well, except what he said, "To prohibit the
10 L. Mincklerand J. E. Springgate; correct?
10 introduction and delivery for introduction into commerce of
11 A Yes, sir.
11 the chemical compound known as polychlorinated byphenyl."
12 Q Did they discuss anything to be done on a
12 take it that was his purpose.
13 crash basis with respect to those concerns which were
13 Q Did Monsanto have meetings to discuss this
14 expressed by you to them 20 days earlier?
14 bill in which you attended?
15 A 1 don't know. 1 certainly know that
15 A No, sir. That doesn't mean that he didn't
16 Papageorge was very, very much involved and very much aware
16 have meetings, but 1 do not recall ever being at a meeting
17 of the problem and he might be much better - he will be
17 where they discussed Ryan's bill.
18 much better able to answer that than 1 do, than 1 am.
18 Q All right, sir. Dr. Kelly, will you turn,
19 Q Go to page 94.
19 please, to page 97?
20 A I've got problems. Something's happened to my
20 A Yes, sir.
21 pages from 91.
21 Q Are you -- This is a speech by Congressman
22 MR. CARNEY: Do you want to use mine?
22 Ryan to Congress reported in the "Congressional Record," 1
23 A 1 don't have a 94 here. In fact, my next page
23 believe. Have you seen this before today? See the heading
24 is 100. In thought 1 had one before, but 1 don't. Yes,
24 in the left-hand column, "PCBs - En" --
25 sir.
25 A 1 see that. 1 don't believe 1 have. 1 do not
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1 Q (By Mr. McCrea) Can you identify the document
1 read the Congressional Record."
2 on page 94 of Plaintiff's Exhibits Six?
2 Q All right. Without spending a lot of time on
3 A Well, 1 will read what it says. It's a
3 this document --
4 photostat of some letter written by a Bernard H. Falk, it
4 A Okay. That will be new.
5 looks like, to the representatives of the member companies
5
Q Congressman Ryan makes reference to chickens
6 in the transformer section, capacitor section of the
6 being contaminated with PCBs, 1 believe, in North Carolina
7 National Electrical Manufacturers Association dated August 7 by leaks of PCBs from a heat transfer system. With that
8 the 6th, the 2nd, 1971.
8 general statement, Dr. Kelly, as you sit here today, did
9 Q Dr. Kelly, did you have any communications
9 you in any way participate in the investigation of that
10 with Congressman Ryan?
10 particular situation?
11 A No, sir, 1 did not.
11 A No, sir, 1 do not believe 1 did.
12 Q Did you have any participation in preparing any
12 Q Do you have any working knowledge of the
13 speeches or information to be given by Monsanto to
13 situation in which the chickens became contaminated with
14 Congressman Ryan?
14 PCBs?
15 A No, sir, 1 did not.
15 A No, 1 don't. In fact, they talk about the
16 Q On this date do you have any understanding of
16 Campbell Soup Company. Is that what we're talking about,
17 the effort being generated by Congressman Ryan with regard 17 with the chicken fat? Is that the one? That's the first
18 to PCBs?
18 time 1 saw it. 1 don't know anything about it.
19 A 1 may have heard about somebody talking about
19 Q All right. Down at the bottom of column one
20 it at lunch, but 1 certainly had no formal connection with
20 on page 97 there's a one paragraph description of human
21 any of Congressman Ryan's actions.
21 health effects as described by Congressman Ryan on the date
22 Q Will you go to page 95?
22 of this address to Congress, July 23rd, 1971. Would you
23 A Yes, sir.
23 please read that paragraph which starts at the bottom of
24 Q Can you identify this document which consists
24 column one and ends at the top of column two to yourself
25 of two pages and attachments of an additional three pages? 25 and then tell us if there are any health effects which he
Kelly, R. Emmet M.D. (fmrMons Med Dir) in BROWN Volume 5
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LEXOLDMON006990
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1 describes as being caused be PCBs with which you disagree?
1 "Persons who have been continually exposed to PCB
2 A Do 1 wait till 1 get through reading it or do
2 may suffer nausea, vomiting, loss of weight, edema and
3 1 mention my differences of opinion as we go along?
3 abdominal pain, increased respiration, lower blood count
4 Q 1 think it would be preferable to mention it
4 and inhibition of the carbohydrate metabolism." That - If
5 as you go.
5 he is not referring to Yusho or Yetching, 1 would like to
6 A "By far the most frightening hazards" -
6 see his basis for this statement, "More serious effects are
7 MR. CARNEY: Well, let me just - 1 think he -
7 those of the kidneys." 1 don't know where that is
8 MR. McCREA: He can read it out loud.
8 documented outside of Yusho.
9 MR. CARNEY: 1 think he said to read it to
9 "The principal effect, however, is on the liver
10 yourself.
10 possibly leading to atrophy followed by death." That
11 A Oh, okay.
11 certainly has not occurred in an industrial setting. Now,
12 MR. CARNEY: And then-
12 this 1 do not consider - 1 do not consider a Congressional
13 Q (By Mr. McCrea) Why don't you read it out
13 speech a scientific document. He is making statements,
14 loud and then as you disagree, you can state your
14 and 1 don't know the basis of the statement, so 1 disagree
15 disagreement.
15 with him.
16 MR. CARNEY: I'm going to object to any,
16 Q All right. Would you go to the top of
17 having-
17 paragraph three in the first paragraph - excuse me, Doctor
18 MR. McCREA: That way it gets on the record.
18 - the top of column three. In about the middle of that
19 MR. CARNEY: That's what 1 mean. Ifyouwant
19 paragraph he states, "1 requested that he," and 1 believe
20 to get Congressman Ryan in here to testify about what he
20 that refers to the administrator of the Environmental
21 said, that's one thing, but to have, you know, a speech
21 Protection Agency, "Obtain from Monsanto those production
22 that he read be read into the record is, you know, hearsay.
22 and sales figures necessary to determine the extent of
23 1 don't have Congressman Ryan here to cross examine. We've
23 possible PCB contamination data which Monsanto has refused
24 got Dr. Kelly here. He says he doesn't have any knowledge
24 to provide." Are you aware of a request by Congressman
25 about this bill of Dr. Ryan's, so 1 don't know. 1 think
25 Ryan to Monsanto for sales records in order that the
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1 you've got the wrong person here to cross examine about Dr.
1 environmental effects could be checked out?
2 Ryan's speech.
2 MR. CARNEY: Let me object to the question. 1
3 A Mr. Ryan, the Honorable Mr. Ryan. He's not a
3 object to your reading a speech back in 1971, July 26, 1
4 doctor. He's a politician.
4 guess, of 1971, by a congressman who's trying to get
5 MR. CARNEY: I'm sorry. 1 didn't want to
5 publicity and run for office and win votes and making a
6 demean the profession of doctors by calling him -
6 speech in the "Congressional Record" and then examining Dr.
7 A We have a different way of stating things.
7 Kelly about the speech which he says he wasn't in
8 Q (By Mr. McCrea) Dr. Kelly, why don't you read
8 attendance at and doesn't recall seeing. You know, this
9 what he states. Then as you come to something with which
9 deposition could go on for a year. It's already, you're in
10 you disagree, state your disagreement.
10 your fifth day of cross examination. You've indicated
11 A Well, yes, 1 disagree with the first sentence,
11 you're going to go tomorrow and, you know, 1 don't know how
12 "The most frightening hazard is the effect of PCBs on
12 many speeches by congressmen or other people you can rear
13 humans." Certainly 1 don't think there's any frightening
13 into the record. It's improper. If you have a question of
14 hazard. 1 think that is rhetoric from a congressman.
14 Dr. Kelly, ask the question of Dr. Kelly.
15 Let's see what else.
15 Q (By Mr. McCrea) Dr. Kelly, did -
16 He also states, gives no limitation of exposure, no
16 MR. CARNEY: And you're not only reading it,
17 statement about exposure. He says, "Polychlorinated
17 but you're making assumptions about who he is. Now,
18 byphenyl may be taken into the body by direct actions upon
18 Congressman Ryan isn't even here for me to examine him on
19 the skin or by a vapor through a respiratory tract."
19 what he means by some of those words. So this is an
20 That's true.
20 entirely improper course of action that you're taking, Mr.
21 "The effect on the skin is chloracne." Well, that
21 McCrea, and all 1 can see is that you're trying to delay
22 all depends on how much you get on and how long you've been
22 this case and bore the tears out of the jury and the judge.
23 doing it. "The early symptoms of which are pimples, a dark
23 You've certainly bored me by all this repetition and now
24 pigmentation, later, more serious eruptions." That again
24 just reading a speech 20 years ago by a congressman trying
25 is how much you are exposed to.
25 to win votes.
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
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1 MR. McCREA: Was he trying to win votes with
1 Tests."
2 Monsanto?
2 A Yes, sir.
3 A 1 don't think he's alive frankly. 1 don't
3 MR. CARNEY: We're still in -- Can 1 have my
4 know when he was running for office in the 70s, but was
4 standing objection that you're reading from Congressman
5 there a question on the floor?
5 Ryan's speech back in 1971?
6 Q (By Mr. McCrea) There was and you may answer
6 Q (By Mr. McCrea) Yes, you may. It says,
7 it.
7 "Recently completed Monsanto tests, conducted over two
8 A I'd like to know what it is.
8 years, showed that rats fed food containing up to 100 ppm
9 MR. McCREA: 1 forget.
9 showed enlargement of the liver, but suffered no other
10 (Thereupon, the reporter propounded the pending
10 effects, the company spokesman said. Dogs showed no ill
11 question.)
11 effects, he said. Representative Ryan said he was
12 A 1 am aware of a request, and he states a half
12 skeptical of tests ordered by the company for its own
13 truth. He states, "1 requested that he obtain from
13 product." Did you see that?
14 Monsanto those production sand sales figures necessary to 14
A Yes.
15 determine the extent of possible PCB contamination."
15 Q Does that refer to IBT tests?
16 Monsanto, I've seen documents that said we will give you
16 A No, he refers to test ordered by a company
17 sales and production figures.
17 for its own product, and just like I'm skeptical about a
18 Then he asks for names of customers and Monsanto
18 congressman's statements when he's running for office. 1
19 said that they, to the best of my knowledge, they could not 19 think that this is absolutely ridiculous. Who is going to
20 give the names of the customers without some particular
20 run the tests if the company doesn't run them themselves?
21 reason. So the good congressman is having a half truth in 21 Is the government going to run them? The U. S. Food and
22 that statement.
22 Drug Division accepted the tests. They know an awful lot
23 MR. CARNEY: And 1 might add, 1 assume it's
23 more about toxicity than Ryan does.
24 probable a misprint, but it doesn't talk about PCBs there.
24 Q All right. My question is: Does that
25 It talks about PCB, and it doesn't say that Congressman
25 paragraph refer to the tests that were done at IBT or is it
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1 Ryan requested it. It says, "1 requested that he,"
1 some other test facility?
2 somebody, whoever he is "obtain it." So there's, 1 think,
2 MR. CARNEY: I'm going to object here. You're
3 a mischaracterization of what's said. This is very
3 asking this witness to speculate about what was inside
4 confusing. We don't - It's hard to understand what's
4 Congressman Ryan's mind, and other than winning votes and
5 being talked about there.
5 trying to get re-elected, which 1 think we've probably
6 Q (By Mr. McCrea) Did Monsanto Company have an
6 established, but what was inside his mind when he makes a
7 action planned to determine the customers who had purchased
7 speech back in July 26th, 1971. Why don't you ask
8 PCBs in the potential areas of environmental contamination
8 Congressman Ryan?
9 on this date, July 26, 1971?
9 MR. McCREA: 1 would also note that he was
10 A 1 don't know what you mean by an action
10 interested in protecting the environment and protecting
11 planned. What do you mean?
11 human health, and in 1977 Monsanto company fully concurrec
12 Q Well, I'm referring back to your corporate
12 with the ban of PCBs. It took six years to educate
13 notes where you say plan of action on page 88.
13 Monsanto, but they fully concurred with the ban six years
14 A Yes, sir.
14 later.
15 Q Did you have a plan of action to determine
15 MR. CARNEY: Well, you know, Mr. McCrea,
16 your PCB customers and the potential environmental
16 you're making speeching that are untrue, that are
17 pollution as a result of sales to those customers?
17 inflammatory, that are improper. You have no -- You're not
18 MR. CARNEY: In addition to the 12 points, the
18 testifying and here you are making these speeches. We're
19 sum of which 1 think addressed that problem? Are you
19 here to take Dr. Kelly's testimony. If you have a
20 saying in addition to those 12 points?
20 question, fine, but to make a speech that Monsanto did
21 MR. McCREA: Correct.
21 something improperly is an outrage to me, and it's improper
22 A 1 don't know. You'll have to ask Papageorge
22 and unprofessional conduct on your part, and 1 would urge
23 or Bergen or Springgate.
23 you to get on with questions and quit making speeches. The
24 Q (By Mr. McCrea) Could you go to page 99?
24 jury into interested in what you think or what 1 think.
25 Column two, fourth paragraph with the heading "Monsanto
25 They want to hear the evidence from the witnesses that are
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Pages 201 - 204
LEXOLDMONOQ6992
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1 under oath.
1 fifth day and now you're asking the witness to read a 15
2 MR. McCREA: 1 was just defending Congressman
2 page document that he says he doesn't know that he saw when
3 Ryan.
3 he was with Monsanto, and to see if there's a word there.
4 MR. CARNEY: Well, 1 didn't know that was the
4 MR. McCREA: Just a second. I'll save you
5 purpose of this. You're getting so far off the track in
5 time.
6 the fifth day of your cross examination, Mr. McCrea. Now
6 MR. CARNEY: Okay.
7 you're defending a congressman who's running for office,
7 MR. McCREA: I'm agree that the document
8 you know. I'm glad you're doing that, but let's not do it
8 speaks for itself and that it may be read by the jury.
9 on the record and waste the jury's time.
9 MR. CARNEY: Well, you know, whether - We're
10 Q (By Mr. McCrea) Dr. Kelly, would you turn to
10 not in the courtroom now. We don't have the jury, and 1
11 page 100?
11 think we'll have to address that to the judge at the time.
12 A 100?
12 Whether it's appropriate to have the jury take the time to
13 Q Yes, sir.
13 read this 15 page document or not, 1 think we'll have to
14 A I've lost that one, too. Do you have 100?
14 address at a later date.
15 Oh, I'm back here.
15 Q (By Mr. McCrea) But I'm - Dr. Kelly, 1 don't
16 MR. CARNEY: Why don't you give those back.
16 think it's necessary for you to read this document unless
17 A 1 may need those back. Yes, sir.
17 you'd like to.
18 Q (By Mr. McCrea) Are you familiar with this
18 A No, 1 don't need to.
19 document which has as its caption, "Monsanto's PCB program,
19 Q All right, sir. Would you turn to page 114 of
20 W. B. Papageorge, Presented at ANSI," A-N-S-l, all capital
20 the Papageorge document, the sixth line, sixth line from
21 letters, "Committee C-107 Meeting - September 14, 1971"?
21 the bottom of the page beginning "There is still" -
22 A What did you ask me about it? Am 1 familiar?
22 MR. CARNEY: You're on 114?
23 Q Are you familiar with it?
23 Q (By Mr. McCrea) Yes, sir.
24 A Well, I've seen it, but 1 don't know when 1
24 A Sixth line, "There is still," yes.
25 saw it, whether 1 saw it during my time with Monsanto or
25 Q (By Mr. McCrea) Yes, sir. That statement by
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1 not. 1 don't really believe 1 did, but I've certainly seen
1 Dr., by Mr. Papageorge reads, "There is still a lot of
2 it since I've been out.
2 information that is needed to help us determine the long
3 Q Would you turn to page 104?
3 term effect on human beings." That statement was made
4 A Yes, sir.
4 September 14th, 1971. As of September 14, 1971, do you or
5 Q Would you read the paragraph three beginning,
5 did you as medical director concur with that statement?
6 "Through the years," just to yourself and then I'll ask you
6 A Well, 1 have to see -
7 if that makes any reference to PCBs and plasticizers in 7 MR. CARNEY: 1 don't know that you've
8 silos?
8 established that he actually saw that statement. He
9 A I've read it. What is your question.
9 doesn't know if he saw this document. Are you asking him
10 Q Does it make any reference to silos?
10 today or back --
11 A With the exception it said, "Uses such as in
11 MR. McCREA: I'm asking him if-
12 paint formulations."
12 MR. CARNEY: If he saw that in '71, would he
13 Q Is there any references whatsoever in this
13 agree?
14 document consisting of 15 pages to the problem of PCBs
14
MR. McCREA: Did he concur with that statement
15 flakes and leaching from plasticizers in silos into the
15 on September 14th, 1971.
16 silage contaminating the cattle and contaminating the milk? 16
MR. CARNEY: Well, I'm going to object to
17 A Well, we might as well turn off the film
17 using the word did he concur because 1 don't think he could
18 because I'll have to read this. 1 can't answer that.
18 concur with something unless he saw it to concur with it.
19 Q All right, sir.
19 If you're saying did he believe that to be a true statement
20 A So are we turning it off?
20 back then whether or not he saw it or not, 1 think he could
21 MR. McCREA: Yes.
21 probably answer that. So 1 object to the form.
22 MR. CARNEY: Well, let me object to this while
22 Q (By Mr. McCrea) Dr. Kelly, on September 14th,
23 we're still on the record.
23 1971 did you believe that to be a true statement?
24 MR. McCREA: Let's -
24 A Well, first of all, I'm not going to pick one
25 MR. CARNEY: This deposition, you're into the
25 sentence out of this. Let's take the sentence before it.
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Pages 205 - 208
LEXOLDMONOQ6993
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1 Q Dr. Kelly -
1 classified as highly toxic."
2 MR. CARNEY: Let him finish his answer,
2 Then he going onto say, "There is still a lot of
3 please.
3 information that is needed to help us determine the long
4 MR. McCREA: Just a second, please.
4 term effect on human beings." 1 don't know if at that
5 MR. CARNEY: Just a minute. If you'd let him
5 time we had the two year testing on the two different
6 finish his answer because 1 don't like your interrupting
6 species.
7 him while he's in the middle of his answer, so please.-
7 1 think that he referred also to other items as how
8 A You're asking me to pick one sentence out of
8 much is in the food that people are taking. So that is
9 context, and if I'm going to concur or agree with this
9 just as important as the toxicity of the material. So
10 statement, I've got to look at the previous statements and
10 certainly that information is needed to help us determine
11 the following, the statements following it.
11 the long term effect. You have to equate - There are two
12 Q (By Mr. McCrea) Dr. Kelly, I'm asking the
12 parts to the equation, how toxic are small amounts and
13 question. Your attorney may ask you on redirect any other 13 what's the size of the amount? Does that answer your
14 information which he feels is necessary to present to the
14 question, Mr.McCrea?
15 jury. My questions is: Do you agree with the accuracy of
15 Q (By Mr. McCrea) Yes, sir. Would you go to
16 that sentence, "There is still a lot of information that is
16 page 110? I'll direct your attention to the last sentence
17 needed to help us determine the long term effect on human 17 in paragraph two beginning, "PCB was brought out." The
18 beings"?
18 statement says, "PCB was brought out as" --
19 A Now-
19 MR. CARNEY: Are you talking about the middle
20 MR. CARNEY: Let me object to it.
20 paragraph; right?
21 Q (By Mr. McCrea) Now, if you want to go and
21 MR. McCREA: Paragraph two. What did 1 say?
22 address other portions of this document as not in response 22
MR. CARNEY: 1 thought you said the last. I'm
23 to my question, fine, go ahead, but 1 would ask that the
23 not sure.
24 Court at the trial restrict your answer only to that which 24 MR. McCREA: The last sentence of paragraph
25 is responsive to my question. Go ahead and answer.
25 two. 1 don't know what 1 said. The sentence which states,
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1 MR. CARNEY: Well, I'm going to object to your
1 "PCB was brought out at an example of a material introduced
2 picking out a sentence in the middle of a 20 - I'm sorry
2 into society."
3 - 15, 16 page document out of context, and that sentence
3 A Mine says brought up.
4 has some undefined words to it. It says, "There's still a
4 Q (By Mr. McCrea) Brought up?
5 lot of information." It doesn't say what kind of
5 A U-p, brought up.
6 information, what he means by a lot. It might call for Dr.
6 Q Mine says brought out.
7 Kelly to speculate. 1 note -- 1 think that the doctor is
7 A You want to see mine? Page 11, 110?
8 entitled to read the sentence in front of it or any other
8 Q Yeah. That's interesting.
9 sentence to bring it into context, and 1 invite the doctor
9 MR. CARNEY: 1 think you're looking at a
10 to do that.
10 different sentence. It's the last sentence on paragraph
11 A Well, 1 don't believe Mr. McCrea wants me to
11 two.
12 do that.
12 A Is that what we want now?
13 Q (By Mr. McCrea) No, you can go ahead and do
13 MR. CARNEY: Yeah.
14 it. I'm just stating that 1 asked a question as to that
14 A Okay. That is one of the problems of picking
15 sentence and when this is given to the jury, we'll get a
15 items out of 15 pages.
16 ruling from the Court, but you may answer it. 1 can't
16 Q (By Mr. McCrea) 1 don't dispute that, Doctor.
17 restrict you on how you're going to answer it.
17 A Okay.
18 A Good. Thank you. That was the bottom line on
18 Q It states, "PCB was brought out as an example
19 this question?
19 of the material introduced into society and thought at one
20 (Thereupon, the reporter propounded the previous
20 time to be most valuable, but is now considered a serious
21 question.)
21 threat to all of us." Do you agree?
22 Q Well, to answer that in a yes or no situation,
22 MR. CARNEY: I'm going to object. Again
23 1 would need a lot of information myself. In the first
23 you're --
24 place, 1 think it, in context he stated the, "Studies today
24 Q (By Mr.McCrea) With that?
25 would indicate that these PCBs are not and cannot be
25 A No, 1 don't agree with it.
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
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1 MR. CARNEY: And I'm going to object to your
1 Yes, that, we did have one for an entirely different
2 taking a 15 page document, reading one sentence totally out 2 product in which we were looking for a potential bladder
3 of context. If you're going to read from this document,
3 carcinogen, and that means you take urine, urine,
4 you're misleading the jury by reading sentences totally out
4 centerfuge it down, stain the sentiment and look for
5 of context. You're doing this throughout the deposition,
5 bladder cells. Now, first paragraph we go to,"Enclosed" -
6 and this is an example of it. That's not a proper way
6 Q Let me ask this. Does this relate to PCBs,
7 unless you've established that this witness is familiar
7 this document?
8 with the document or he authored the document or he
8 A 1 don't think so because the next one-
9 received the document.
9 Q All right.
10 A And here again 1 may further explain, you've
10 A You say, "Enclosed is a copy of the article on
11 got to read the sentence in front of it. Individuals --
11 bladder cancer in the U. K. that 1 mentioned on the phone,"
12 "Initial hearings were held in August to which a select few
12 and following that is this article 117, "Bladder Tumors in
13 individuals were invited to testify." Who were they? 1
13 the Electric Cable Industry," and 1 read that four
14 don't know.
14 different times and 1 don't see PCB in it at all. So 1
15 "PCB was brought out as an example of material
15 don't know what it's doing in here.
16 introduced in society and thought at one time to be most
16 Q At the bottom she says, "For the sake of
17 valuable, but is now considered a serious threat to all of
17 completeness, I'm also enclosing the summaries of two
18 us." Those aren't Papageorge's words. Those are these
18 articles which 1 am sure you have seen. Both articles
19 unnamed individuals who were invited to Senator Phillip
19 report some findings on Aroclor 1260 Lot AK-3." Do you
20 Hart's committee, and 1 don't agree with it at all.
20 know what she means by that?
21 MR. CARNEY: And 1 think this is just an
21 A 1 don't know. It certainly wasn't this one
22 example, Mr. McCrea, of how you're misleading the jury by 22 because this doesn't mention Aroclors or PCBs at all.
23 trying to infer that these were Papageorge's words. This
23 Q Then it says, "Let me know if you need any
24 is an example of the improper questioning of the witness by 24 Aroclor. We seem toto have more than sufficient for our
25 implying that it's Papageorge's words when now we read the 25 studies."
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1 sentence just before it and it's clear that they weren't
1 A 1 don't know what she meant. 1 mean -
2 Papageorge's words at all, but some unnamed individuals whci 2
Q Okay.
3 we don't even know the names of. 1 don't think the names
3 A And frankly this is, just to clarify this,
4 are in this memo. How can 1 cross examine some unnamed 4 this article that she says, "Enclosed is a copy of the
5 people? This is total, totally improper.
5 article on bladder cancer in the U. K. that 1 mentioned on
6 Q (By Mr. McCrea) Dr. Kelly, would you go to
6 the phone." That's Kimbrough to Levinskas, and the article
7 page 116?
7 under your plaintiffs exhibit pages 117 and 120 does not
8 A 16 this time.
8 mention Aroclor or PCBs any place.
9 Q Yes, sir.
9 Q 1 read those and that also is my
10 A Yes, sir.
10 understanding.
11 Q Can you identify the exhibit?
11 A Good.
12 A Yes. 1 haven't seen this until this trial.
12 MR. CARNEY: Are you saying --
13 It's a letter from Dr. Kimbrough to Dr. George Levinskas of 13
A Why is it in there?
14 Monsanto dated October the 15th, 1971.
14 MR. CARNEY: The article that starts on page
15 Q Do you know what did -- in the second
15 117 of Exhibit Six is the enclosure.
16 paragraph, and you state you have not seen this until this
16
MR. McCREA: 1 don't know.
17 date?
17 MR. CARNEY: Okay.
18 A That's to the best of my recollection. 1 may
18 Q (By Mr. McCrea) But what 1 was concerned
19 have, but it doesn't fit itself in my consciousness.
19 with, Dr. Kelly, does this statement, "Does Monsanto have a
20 Q Okay. It says, "Does Monsanto have a cytology
20 cytology screening program," apply?
21 screening program?" Do you know what is meant by that? 21
A Yes, but not for PCB people.
22 A Yes. It means can you screen - 1 presume
22 Q What is cytology? What does that mean? Is
23 she's talking about bladders. Again, I'll answer this
23 that urine?
24 question and then I'll read the whole letter out. It says
24 A Looking at cells. It could be urine. It
25 here, "Does Monsanto have a cytology screening program?" 25 could be a pap stain from women for cancer. They cough up
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
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LEXOLDMONOQ6995
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1 stuff. That's cytology. You're looking for the stuff
1 sentences down from the first paragraph? It says, "A
2 that's under the microscope.
2 subsequent study revealed the presence of tetra- and
3 Q All right. Are you familiar with the article
3 pentachloridibenzofuran in Phenoclor and Clophen."
4 written by J. G. Vos and J. H. Koeman of which the, 1 guess 4
A Yes, sir.
5 you would call it an abstract, appears on page 121, but not 5 Q Is that a reference to what we earlier
6 the full article?
6 referred to as furans?
7 A Yes, sir, 1 am.
7 MR. CARNEY: I'm going to object. It may call
8 Q On this date do you recall if there was
8 for this witness to speculate.
9 anything in that article with which you disagreed?
9 A Yes, sir, but also this again is a fallacy of
10 A No, sir, 1 don't think so.
10 looking at the abstract because Phenoclor and Clophen are
11 Q Dr. Kelly, are you familiar with the article
11 either Italian, German or French pentachlorphenyl, and
12 written by J. G. Vos and R. P. Beems, B-e-e-m-s, that
12 during the body of this article he says we didn't find
13 appears on page 122 again in which only the abstract of the 13 these things in the Aroclor. That very little significant
14 article is provided and the full article is not?
14 statement is not listed in this abstract, but it's in the
15 A Am 1 familiar with it?
15 body of the literature.
16 Q Yes, sir.
16 Q All right, sir.
17 A Well, yes, but 1 believe on this particular
17 A Tetrachlorbenzenes in the European PCBs, not
18 one 1 would need more information if the next question is
18 in the Monsanto PCBs.
19 going to be do 1 agree with all the findings. 1 don't
19 Q But 1 believe-
20 know.
20 A Underthe analysis done in 1971.
21 MR. CARNEY: I'm going to object to the prior
21 Q 1 believe you stated Monsanto tested its PCBs
22 question where you asked if Dr. Kelly agreed with the prior 22 and did find furans?
23 article. He said he didn't disagree with it, but 1 think
23 A Later on, but this man did not find it.
24 that's an overbroad question because I'm sure it has at lot 24
Q All right, sir. And we've been over that;
25 of statements in it. We don't have the full article here,
25 fair?
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1 so 1 would object to the form of the question as being
1 A That doesn't mean we can't go over it again.
2 overbroad.
2 Q Will you turn to page 123?
3 Q (By Mr. McCrea) Do you recall the question as
3 A Yes, sir.
4 to the article on page 121, Dr. Kelly? 1 asked you if you
4 Q Do you recognize this document?
5 agreed with that article?
5 A 1 really don't.
6 A Well, 1 agreed with the abstract, but there
6 Q Do you recognize the names which are written
7 wasn't, 1 would have to know more about it from going over
7 on page 123, the last L-e-i-s-y it appears, Richard
8 the whole article to know if 1 agreed with his findings.
8 and the last one 1 can't read?
9 Q Fair statement, and 1 think that's an
9 A 1 recognize Richard here. As 1 said, he was
10 appropriate clarification. Now, Dr. Kelly, with respect to
10 in research before. 1 don't know the other people, but
11 the article on page 122 again with regard to the abstract,
11 obviously one's a general manufacturing superintendent of
12 is that information with which you were familiar during the
12 the East St. Louis plant and the other is a manufacturing
13 time you were with Monsanto as medical director and do you 13 manager which is right below him.
14 agree with the information contained in that abstract?
14 Q And in looking at this document, you do not
15 A Well, there again because he is talking
15 recognize it as having been something you have read before?
16 about --
16 A 1 may have, but every department in the
17 MR. CARNEY: Objection to the form. It's
17 company has what they call their manufacturing processes,
18 compound, but go ahead.
18 and so 1 might very well have seen it.
19 A He is talking about, could be lesions, but 1
19 Q All right.Would you goto page 125?
20 would have know no more about them because that certainly 20
A Yes, sir.
21 has not been a very positive thing in the examination of
21 Q It has a Roman numeral three,"Toxicity" in
22 animal toxicity reports.
22 the middle of the page. Underneath that - You see that?
23 Q (By Mr. McCrea) Would you -- And we've got
23 A Yes.
24 some fine print here, Doctor, and your eyes are probably
24 Q Underneath that it says, "The following toxic
25 better than mine, but would you read the, what appear six
25 rating code will be used in describing the toxicity
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
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LEXOLDMONOQ6996
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1 these materials, 0 - none; 1 - slight; 2, moderate; 3,
1 MR. CARNEY: 1 take it your question is did
2 high' U - unknown." In the first chemical is --
2 he see this document when he was employed?
3 MR. CARNEY: 1 don't have a record. I'm on
3 Q (By Mr. McCrea) Correct.
4 the wrong page.
4 A 1 really don't remember this at all. It
5 MR. McCREA: 125.
5 doesn't say who it's from. It doesn't say the date on it.
6 MR. CARNEY: Okay.
6 1 don't know anything about it.
7 MR. McCREA: Do you have 125?
7 MR. McCREA: All right. Do you see
8 MR. CARNEY: Yes, 1 have it now.
8 paragraph three?
9 Q (By Mr. McCrea) Then the first chemical which
9 A Which page?
10 they discuss is byphenyl, code 82601. Do you see that?
10 Q Page 130.
11 A Yes, sir.
11 A Yes, sir.
12 Q And in six it says, "Toxic Hazard Rating,
12 Q And does that state, at least in this
13 Acute Local: U." That means unknown. Is that correct?
13 document, "All plasticizer customers were notified on
14 A Yes.
14 December31, 1971 of our intention to discontinue PCT."
15 Q "Acute Systemic Ingestion, 3." That means
15 What does that stand for?
16 high; correct?
16 A 1 don't know what it means, but unless they
17 A Yes, that's what he says, but 1 don't agree
17 had a different name for the plasticizer use of PCBs. 1
18 with him at all.
18 don't know, but they're talking about PCB, so I'm sure that
19 Q "Inhalation"?
19 it's PCBs.
20 A Three.
20 Q Does that refresh your memory as to the plan
21 Q Three, high "Chronic Local: U," unknown. Do
21 of action with respect to eliminating the PCBs in
22 you not agree with that?
22 plasticizers?
23 A No.
23 A Well, yes, but 1 don't know if there were any
24 Q Categorization?
24 other plans. This is undated, so 1 mean, it's obviously
25 A It's -
25 sometime after December 31st, '71. 1 don't know if there
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1
MR. CARNEY: Let me object before you answer.
1 were other plans of action of which 1 wasn't privy. 1 may
2 A It's not a high toxicity.
2 not have known about it.
3 MR. CARNEY: Let me just object, Dr. Kelly,
3 Q All right. Will you go to page 131?
4 before you answer the question.
4 A Yes, sir.
5 A Okay.
5 Q The second to the last paragraph it is stated,
6 MR. CARNEY: This is a document that the
6 "We have been in close touch with the Federal Interagency
7 witness did not author. He doesn't know if he saw it while
7 Task Force under Dr. Edward J. Burger, Jr.'s direction.
8 he was employed by Monsanto. Some of the people that did 8 This task force, task force is preparing to issue a report
9 author it, 1 notice a Mr. Savage, 1 know he's still with
9 on PCBs about mid-February. We will be allowed to work
10 Monsanto, but, and you're obviously free to take the
10 with them in its preparation." Do you have any
11 depositions of people that have knowledge of this document. 11 understanding of Monsanto's involvement in working with the
12 This witness doesn't know about it. He would have to
12 Federal Interagency Task Force?
13 speculate as to what the authors meant by these
13 A No, sir, 1 was not involved with it. 1 may
14 designations, number one, and you know, we don't know
14 have seen reports, but 1 don't know Monsanto's involvement.
15 whether these - if we don't know what they meant by these 15
Q You go to 133?
16 designations, it's pretty hard to speculate as to the
16 A Beg your pardon?
17 significant of any of this. 1 think we've got the wrong
17 Q Page 133, Dr. Kelly?
18 witness again.
18 A Yes, sir.
19 Q (By Mr. McCrea) Do you know who -- This says,
19 Q Do you recognize this document?
20 "Prepared by: R. M. McCutchan." Do you know who he was, 20
A 1 recognize what it is. It's a letter from
21 Dr. Kelly?
21 Howard Bergen undated, obviously sometime before January
22 A No, 1 don't know who he is. He's not in the
22 the 15th, 1972. 1 don't know any more about it than that.
23 medical department.
23 Q All right. Were you aware that Monsanto was
24 Q Would you go to page 130? You recognize this
24 requiring its purchasers such as Westinghouse, General
25 document?
25 Electric, McGraw Edison to indemnify Monsanto in case
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
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LEXOLDMONOQ6997
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1 Monsanto got sued for PCB damage to the environment for
1
A Yes, the last 48 hours or 24 hours.
2 health effects?
2 Q But not while you were serving as medical
3 A No, sir, 1 wasn't. Is that in here?
3 director of Monsanto?
4 Q Yes, sir.
4 A Not that 1 recall. 1 found 93.
5 A No, sir, 1 don't know anything about that.
5 Q What's that? You found 93?
6 Q All right. Can you identify the document on
6 A 1 said 1 found number 93 that 1 was worried
7 page 141?
7 about.
8 A 41?
8 Q Would you like to go back and discuss it?
9 Q 141?
9 A No, thanks. 1 think we discussed it pretty
10 A Well, it's a letter from --
10 fully.
11 MR. CARNEY: Well, again -
11 Q Would you go to page -- First of all, can you
12 Q (By Mr. McCrea) Can you identify it? Have
12 identify the document that appears on page 148?
13 you seen that before this date?
13 A Yes, sir. Page 148.
14 A 1 may have seen it. 1 saw it yesterday. 1
14 Q Yes, sir.
15 took this home last night, but 1 don't recall it, no.
15 A Did you ask me could 1 identify it?
16 Q Before that date did you see it?
16 Q Yes. Do you remember this document?
17 A No, 1 don't recall it.
17 A No, sir, 1 do not.
18 Q Do you have any working knowledge as you
18 Q All right. Will you go to page --
19 testify here today about requests of the U. S.
19 A 1 saw no carbon on me on this. Yes, sir.
20 Environmental Protection Agency for a list of Monsanto's
20 Q All right. Would you go to page 151?
21 customers who purchased PCBs?
21 A Yes, sir.
22 A No, sir, 1 do not have a working knowledge.
22 Q The fourth paragraph on that page which
23 In fact, no knowledge at all.
23 begins, "On the basis of available evidence," do you see
24 Q Will you go to page 143? Do you know the
24 that?
25 gentleman who wrote this letter whose signature appears on 25
A Yes, sir.
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1 page 145?
1 Q It says, "On the basis of available evidence,
2 A Mr. T. Katayama?
2 it would appear that PCBs pose less of an acute toxic
3 Q Yes, sir.
3 health hazard than many substances not proposed for your
4 A No, sir, 1 do not.
4 list, and at the levels found in the total environment are
5 Q Is this a Monsanto Chemical Company document?
5 not a threat to public health. We believe these views
6 A Mitsubishi Monsanto. 1 don't know if that's
6 agree with the conclusions reached by the Interdepartmental
7 fully owned by Monsanto. 1 thought it was 50-50 or maybe
7 Task Force on PCBs in its report dated May 1972
8 it was 51-49. 1 don't know.
8 (CCN-72-10419)." Do you know who participated on the
9 MR. CARNEY: Don't speculate, Doctor.
9 Interdepartment Task Force in preparing that report?
10 A What?
10 MR. CARNEY: I'm going to object. It's again
11 MR. CARNEY: Don't speculate.
11 reading a sentence in a multipage letter that this wasn't
12 A 1 said 1 don't know, but it's not a Monsanto
12 authored by this witness or copied to him.
13 document. It's a Mitsubishi Monsanto Chemical Company. 13 Q (By Mr. McCrea) Do you know who participated
14 Q (By Mr. McCrea) He states on page 145, the
14 on the Interdepartmental Task Force?
15 second to the last paragraph, "The grand funeral of PCB in 15
A Well, the Interdepartmental Task Force is not
16 Japan is close at hand," and that was written on March 22, 16 a Monsanto task force. It's a government task force, so 1
17 1974. Did you have any knowledge as to the approach of the 17 do not know who those people are. Whether any Monsanto
18 Japanese with respect to PCBs on this date?
18 people were invited to participate, 1 don't know. 1 was
19 A No, sir, but you must remember, in Japan they
19 not. 1 don't recall anybody from the medical department.
20 had an awful lot of trouble from eating the material,
20 So the answer to your question is no, 1 don't know.
21 eating the Japanese material.
21 Q (By Mr. McCrea) All right, sir. Do you
22 Q All right. Can you go to 146?
22 recognize the document which begins on page 154 titled
23 A Yes, sir.
23 "Minutes of Meeting on Proposed PCB Effluent Standards,
24 Q Have you seen that article, that letter
24 February 28, 1974"?
25 written by W. B. Papageorge before this date?
25 A No, sir, 1 don't.
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Pages 225 - 228
LEXOLDMONOQ6998
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1 Q On page 157 there's a reference to E. S.
1 take the position in 1974 that these qualifying phrases
2 Tucker. Was he the gentlemen who did your analytical
2 were not sufficient to establish -that because of these
3 analysis?
3 qualifying phrases, there was not sufficient data to set
4 A Yes, sir. That's Scott Tucker.
4 effluent standards for PCBs?
5 Q Did he do analytical analysis on PCB levels in
5 A 1 can't answer that because 1 do not know.
6 the blood of your workers on any other, on more than one
6 Q All right. Will you turn, please, to page
7 occasion or just the one occasion which he reported in
7 190?
8 1972?
8 A Yes, sir.
9 A As long as 1 was there that's all he did.
9 Q Does this post-date your employment at
10 Whether he did more after 1 left, 1 don't know.
10 Monsanto? The date on the top of the page 1 see is
11 Q Dr. Kelly, in this document, did you
11 December 9, 1974.
12 participate in this?
12 A Yes, it does, and whoever wrote it, obviously
13 A No, sir, 1 don't believe 1 did at all. 1
13 my departure didn't make much impression on them because he
14 don't think 1 ever saw it.
14 copied me in.
15 MR. McCREA: Break.
15 Q 1 didn't notice that. Where are you copied?
16 (Thereupon, a short recess was taken.)
16 A Right below Bratsch, Engman, Fort, Kelly,
17 Q (By Mr. McCrea) Dr. Kelly, 1 direct your
17 Levinskas and Savage.
18 attention to page 174, a document dated March 12, 1974.
18 Q All right. Did you get - Did you actually
19 A Page?
19 receive this document?
20 Q 174.
20 A No, sir. In fact, 1 don't -
21 A Yes, sir.
21 Q Do you know who authored this?
22 Q Is the author of that letter the attorney for
22 A 1 don't know.
23 Monsanto?
23 Q Is this a Monsanto form?
24 A He was one of them. He was our environmental
24 A Well, it's Monsanto stationery.
25 attorney. He's not associated with them anymore. 1 think 25 Q Is it a memorandum type form?
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1 he's in a private law practice.
1 A Yes, sir, interoffice communications.
2 Q The next page is the beginning of an affidavit
2 Q The names two and then there are six names
3 ofW. B. Papageorge?
3 including yourself. That is correct?
4 A Yes, sir.
4 A Yes.
5 Q And that affidavit goes to page 189 where it
5 Q Was it authored by Papageorge and Wheeler?
6 is signed. See that?
6 A 1 can't make -- 1 just don't know. 1 don't
7 A Yes, sir.
7 know who it is.
8 Q I'd like to ask you one question about the
8 Q All right?
9 affidavit, and that relates to the third paragraph on page
9 A Those two names are up there, but 1 don't
10 184.
10 know. I'd like to see the second page, but there isn't any
11 MR. CARNEY: Let me just state for the record
11 fall, any second part of it.
12 that this is an affidavit dated March 14, 1974.
12 Q This states paragraph two that -- In
13 Q (By Mr. McCrea) Dr. Kelly, do you have page
13 paragraph one it discusses a meeting with NIOSH. Can you
14 184?
14 explain to the jury the functions of NIOSH?
15 A Yes, sir, 1 do.
15 A It's the National Institute for Occupational
16 Q The third paragraph on page 184 states, "We
16 Safety and Health. It's a research arm of the government
17 note in 'Water Quality Criteria, 1972," in those sections
17 in the Department of Health, Education and Welfare.
18 pertaining to polychlorinated biphenyls, the frequent use
18 Q It says the original purpose was to explore
19 of unpublished data and the disturbing use of qualifying
19 whether Monsanto had a suitable occupational group for
20 phrases such as 'may adversely affect,"' which is in
20 study to assess the potential chronic affects of PCBs. To
21 quotes, "Apparently related," which is in quotes, or "The
21 your knowledge, before this date had there been any study
22 work suggests," which is in quotes. "In our opinion, none
22 of workers in America to determine chronic effects of PCBs?
23 of the questions present, present adequate data to
23 MR. CARNEY: I'm going to object to the form
24 support establishment of responsible effluent standard for 24 of the question as to what you mean by study.
25 PCBs." My question to you, Dr. Kelly, is: Did Monsanto
25 A Well, if you consider what 1 did when 1
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Pages 229 - 232
LEXOLDMONOQ6999
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1 examined the people who were presently working in the
1
MR. CARNEY: 1 don't know what you mean by
2 department, if that's called a study, fine. 1 don't know
2 agree with it. Did you read the words correctly? We're
3 when the Zack study was done. 1 don't know if that was
3 talking about a document.
4 before December. No, it wasn't done before December of
4 Q (By Mr. McCrea) You agree with the accuracy of
5 1974 because it was done after 1 left there. She wasn't
5 that statement?
6 there when 1 was there, so 1 would say mine was the only
6
MR. CARNEY: Well, I'm going to object for
7 one and that, as 1 said, it's not anything 1 would term a
7 the record that we're now getting into documents that
8 study. It was just a report on the health status of the
8 are, were generated after Dr. Kelly retired from Monsanto
9 present workers at the PCB plant of East St. Louis.
9 and reading out -- He didn't get the document. He didn't
10 Q All right. This says, "What this would
10 see it. He didn't write it. To ask him questions about
11 involve in obtaining work histories of time spent in PCB
11 documents will take an awfully long time that he didn't
12 departments and medical records of active and still-living
12 having any involvement with.
13 inactive employees." Is that correct?
13 A Will you ask -- May 1 answer now?
14 A Yes, sir.
14 Q (By Mr. McCrea) Yes, sir.
15 Q And they also make reference to examination of
15 A Well, this is by a Westinghouse staff
16 death records?
16 supervisor. He writes this on February the 3rd, 1975.
17 A Yes, sir.
17 There are at least three letters in this batch of exhibits
18 Q And they say, "The study was stimulated by a
18 on plaintiff's exhibit from Wheeler to Spiker in which we
19 report from Dr. Kimbrough, that she had found an alarming 19 have explained to him dating back as far back, 1 think, as
20 rate of liver cancers in rats fed Aroclor 1260."
20 1969 what the problem, what the problems were, the toxicity
21 A Yes, to the female rats, yes, none in the
21 were, the safe handling of data, the maximum allowable
22 males.
22 concentration, that was all given to him.
23 Q Do you know if Monsanto agreed to make their
23 Now, 1 don't know whether Albert was right or not
24 employees available for a suitable occupational study of
24 because it depends on what the exposure was. 1 don't know
25 the chronic effects of PCBs?
25 what his exposure was, so 1 don't know whether Mr. Albert
Page 234
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1 A Oh, I'm sure they did because I've seen
1 was accurate in his statement or not, but he, Westinghouse
2 letters and 1 know that the people from NIOSH came down and
2 certainly had all the opportunity in the world to know
3 walked through the plant and said, "You don't have enough
3 about the toxicity of Inerteen because they even carried
4 people here. We don't think it's feasible to do it." Yes,
4 out some of their own work back before 1940.
5 we made everything available, everything they wanted. That
5 Q Do you agree --
6 presumably, whether this caused Zack, caused the subsequent
6
MR. CARNEY: Just for the record, 1 think we
7 medical director to have Zack do it or not, 1 don't know.
7 ought to note that Albert doesn't appear to work in the
8 Q We go to page 191.
8 Bloomington plant.
9 A Yes, sir.
9 MR. McCREA: He works in South Boston,
10 Q Have you seen this document before today other
10 Virginia where they make PCB transformers.
11 than cursory review?
11 MR. CARNEY: 1 don't think any of the
12 MR. CARNEY: Again, 1 think all the documents
12 plaintiffs worked in that plant, just for the record, so
13 from page 190 through to 262 in the Exhibit Six now
13 the jury isn't confused.
14 post-date the retirement of Dr. Kelly, so 1 think 1 just
14 Q (By Mr. McCrea) Dr. Kelly, do you agree with the
15 note that for the record so that it might make things go a
15 accuracy of that statement?
16 little faster.
16 A Well, it all depends on what you mean. 1
17 Q (By Mr. McCrea) You see the second paragraph
17 don't know what his exposure level is. Suppose he has--
18 on page 191, February 3, 1975, letter from Dan A. Albert to
18 If this were in our plant, 1 would have had a workplace
19 Papageorge?
19 meeting with our employees saying proper use of Interteen
20 A Yes, sir.
20 will present no real danger, yes, that's true. Unless you
21 Q It says, "We have in the past -- "We have had
21 eat it, so he -- 1 don't know if you, he said explaining
22 in the past workplace meetings with our employees
22 the proper use of Interteen that's used properly, there is
23 explaining proper use of Interteen and telling them unless
23 no real danger.
24 it is consumed, it presents no real danger to them." Do
24 Q Okay. Then you have to define what is meant
25 you agree with that statement?
25 by using it properly; correct?
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
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LEXOLDMON007000
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1 A Well, using it according to our instructions
1 questions of Mr. Albert repeated in answers from Monsanto
2 is properly.
2 to Westinghouse?
3 Q All right. Will you go to page 192? Did
3 A Yes, sir.
4 anyone from Monsanto show you these questions shortly after
4 Q Is the answer to question one -- Do you agree
5 you finished working for them?
5 with the accuracy of the answer to question one?
6 A No, sir, not that 1 recall at all.
6 A May 1 read it?
7 Q Would you focus on question two? And this
7 Q Yes, sir.
8 comes from Westinghouse. Would you consider this a report
8 A Yes, 1 would agree with it. 1 don't believe
9 of problems? Question two, it says, "Several hourly
9 that 1 would say that polychlorinated biphenyls has not
10 employees have mentioned recently that many chemicals such
10 been recognized as skin irritants. It all really depends
11 as Interteen cause sterilization after a prolonged use. Is
11 if you consider paint remover on irritant. If you get that
12 this true?"
12 on your hands enough, it's literally efficient paint
13 A No, it's not true. 1 mean, is it true that
13 remover. 1 think it could detach your skin. With that
14 they mentioned it or is what?
14 exception, the rest of it looks all right with me.
15 Q No, is that true?
15 Q You agree with the, specifically with the last
16 A Is the statement true?
16 sentence in the next to the last paragraph, "Although
17 Q Right.
17 chloracne is difficult to evaluate in animals, in humans
18 A 1 don't know anything about Interteen causing
18 this takes the form of comedones (large blackheads with
19 sterilization.
19 typical acute pustules) and may be an external symptom of
20 Q All right.
20 overexposure preceding serious," and serious is
21 MR. CARNEY: Well, note for the record it
21 underscored, "liver injury"?
22 says, "Chemicals such as Interteen." It doesn't identify
22 A It may be and maybe not. The majority of the
23 the other chemicals.
23 chloracnes in industrial work have not been associated with
24 Q (By Mr. McCrea) All right. You go to
24 overexposure, but for the sense of completeness, he put it
25 question six. It says, "There is one employee in our plant
25 in.
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1 who had no problem whatsoever with Inerteen years ago.
1 Q You agree with the last sentence, "Animal data
2 After six years of using, now when he works in Inerteen
2 and human experience indicate that the toxic effects are
3 (which is a part of his job) he develops a swelling on the
3 similar whether exposure results from injection, inhalation
4 inner bicep of his left arm, only in one location. Could
4 of vapors or absorption of the liquid material through the
5 this be from Inerteen or not? It goes away as soon as he
5 unbroken skin"?
6 gets out of the Inerteen. It is similar to the swelling
6 A Yes, sir.
7 after taking an injection."
7 Q Question two says, "Several hourly employees
8 A Is there a question?
8 have mentioned recently that many chemicals such as
9 Q What would your response be to that question?
9 Inerteen cause sterilization after prolonged use. Is this
10 MR. CARNEY: If he had been employed at
10 true?" Answer: "There is no evidence that polychlorinated
11 Monsanto back then?
11 biphenyls cause sterilization in humans."
12 MR. McCREA: Correct.
12 A 1 agree with that. That's true.
13 MR. CARNEY: And got that question?
13 Q Is there evidence that polychlorinated
14 A 1 would say conceivably maybe he had an
14 biphenyls cause loss of libido?
15 allergic reaction. 1 do not know why it would be just on
15 A It had been reported by the workers. Whether
16 one spot on his arm unless he has got some job where he 16 it's true that that was the cause, 1 don't know.
17 leans on a rail or something in that job and he gets
17 Q Question three, "Since Inerteen affects birds
18 contamination, but 1 can't conceive of any other reason.
18 and other animals, if there is no real effects to human
19 An allergic local reaction comes and goes that way, and
19 beings, how do you explain it to employees in such a way
20 it's only in one spot.
20 that they will understand why it can kill a bird and not a
21 Q (By Mr. McCrea) All right. Will you go to
21 human?" Answer: "There is a potential real effect to
22 page 195? And that is a letter from Papageorge to Albert;
22 humans including death." Do you agree with that?
23 correct?
23 A Well, as discussed in number one.
24 A Yes, sir.
24 Q As discussed in the answer to question one.
25 Q Will you go to page 196? Do you see the
25 A Yes, but he could answer that, they could put
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1 that answer on to any industrial chemical made in the
1 Q Well, if it says chlorinated diphenyl, are
2 United States. Potential? What potential? One in a
2 they talking about chlorinated naphthalene?
3 million? It all depends on what you do with it. If you
3 A Every time they use the term chlorinated
4 take a bath in it, if you swallow it, a pint of it. So
4 diphenyl, they have proceeded it by saying naphthalene
5 that would -- That's my comment on that statement. Now,
5 and/or diphenyl. It's never -- There's nothing in the
6 you want the second part?
6 literature back in the '30s that said chlorinated diphenyl
7 Q 1 don't think there's a question. The second
7 alone.
8 part of the answer?
8 Q Question five: "Employees carry Inerteen home
9 A Yes.
9 on the soles of their shoes and complain quite a bit about
10 Q Would you like to comment on it? If you would
10 the affect Inerteen has on wearing out their shoes. Is
11 like to comment on it, you may. 1 don't have a question to
11 this a serious problem? Will Inerteen in the soles and
12 address to it.
12 leather of shoes over a long period of time have an effect
13 A Well, 1 think that they could probably explain
13 on the feet and skin since the shoe is the only protective
14 to them that the problem with the birds had been the
14 equipment we wear on our feet and the Inerteen penetrates
15 thinning of egg shells, and that particular mode of
15 through the leather?"
16 reproduction is certainly different than in humans.
16 Answer: "There should not be polychlorinated
17 Q All right. Question four, "If any employee
17 byphenyl on the floor for workmen to contaminate their
18 spills Inerteen on his clothing and later takes the
18 shoes to carry home. The plasticizer or solvent action
19 clothing home to be," 1 think that's washed, "With other
19 will destroy or shorten the life of the shoes. More
20 clothes, will this have any effect on he or his family and
20 importantly, the wearing of contaminated shoes could lead
21 should he carry his clothes home to be washed?"
21 absorption of the liquid through the soles of the feet
22 Answer: "There should not be any effect on an
22 as though, as through any other unbroken skin surface."
23 employee or his family from home laundering of work
23 A Yes, sir, 1 agree with that.
24 clothing. If washed with other clothing, there maybe be
24 Q Do you think it's a serious problem?
25 residual odor of the chlorinated hydrocarbons in the
25 A Well, if they -- it all depends. If it
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1 clothing." You agree with that answer?
1 happens all the time, certainly it's serious.
2 A Yes, sir.
2 Q Question six --
3 Q Shouldn't Papageorge have told them that that's
3 A Also, if there's that much on the floor,
4 an unsafe practice for a worker to have PCBs on his
4 that's a serious problem.
5 clothing and that if a worker gets PCBs on his clothing, it
5 Q Questions six, we've already addressed that
6 should be changed immediately?
6 one, 1 believe. The answer to questions six which was the
7 A 1 think he answered the question that was
7 fellow that had had swelling in his arm, "We to not believe
8 asked him. 1 don't believe he wanted to go into a
8 there can be any association between a swelling of the
9 discourse about all safe handlings. Here is 12 questions
9 inner bicep of the arm and exposure to polychlorinated
10 they asked him and he gave information to non-technical
10 biphenyls."
11 people, person see he could answer the questions.
11 A Well, 1 would disagree with that. 1 think 1
12 Q Do you consider it safe for a worker to get
12 would say this man may be getting some of the transformer
13 Inerteen on his clothing and wear it?
13 fluid in this particular area and he's allergic to it. If
14 MR. CARNEY: That's not the question that was 14 it going away when he leaves and when he comes back it's in
15 asked here.
15 the same spot, that's an allergic reaction. It can't be
16 MR. McCREA: No, it's not.
16 anything else.
17 A It all depends how much. Yes, if his clothes
17 Q Questions seven: "Are there hand cleaning
18 were dredged with Inerteen, he shouldn't wear them,
18 solvent materials that we should be using when working in
19 certainly not.
19 Inerteen to coat our skin before working in it and to wash
20 Q (By Mr. McCrea) Are you familiar with
20 it off after we finish working in it? Please give your
21 articles in the literature back in the 1930s which stated
21 recommendation. Our employees working in Inerteen are not
22 that clothes worn by a worker should be washed separately 22 able to use gloves since it is an assembly area. Even if
23 from the family clothes?
23 they could, the Inerteen would destroy the protective
24 A They're talking about chlorinated naphthalene,
24 glove."
25 Mr. McCrea.
25 MR. CARNEY: Just so we're clear, Mr. McCrea,
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1 you're not claiming that these questions are questions that
1 thing.
2 employees at the Bloomington plant had, are you?
2 Q You would define promptly as what, half hour?
3 Q (By Mr. McCrea) No. Answer: "We assume the
3 A No, promptly would be any reasonable man would
4 questions refers to the use of barrier creams rather than a
4 assume to be prompt. Now, 1 can't say because you weren't
5 hand cleaning solvent. There are a number of barrier
5 telling me how much is on the clothes. You're not telling
6 creams available to protect workers against water insoluble 6 me how far the man is from where he's going to change the
7 solvents. Probably the most effective include silicone to
7 clothes, if he's got a set of clothes right next to him or
8 provide an impenetrable shield. 1 problem with such creams 8 if he has to walk a quarter of a mile. So there are all
9 is that they may offer a false sense of security. Proper
9 sorts of variables, and 1 cannot quantify that.
10 use includes a discipline which requires liberal
10 Q Go to column two under B, "Special
11 application at the beginning of a work shift and after each
11 Procedures." Do you see that, the last paragraph?
12 washing of hands during the work day." Do you agree with 12
A Yes.
13 that answer?
13 Q The last sentence, "Persons with known liver
14 A Yes, sir, 1 agree with it. 1 also agree -- 1
14 disease should not be exposed to repeated contact with the
15 might be more positive in saying we really don't think the
15 chlorodiphenyls." Do you agree with that?
16 barrier creams are all that good, but if it's the best
16 MR. CARNEY: I'm going to object. It doesn't
17 you've got, do it. 1 also think that at that particular
17 define -- I'm sorry. Where are you reading from, the last?
18 time, I'm not sure whether Neopreen gloves were, could to 18 Okay. I'll withdraw the objection.
19 be used or not. 1 don't know whether that was in, could
19 A Now, again-
20 not be used, couldn't be used with Inerteen or not be
20 Q (By Mr. McCrea) Now, Dr. Kelly,do you agree
21 dissolved by the material. I'm not sure.
21 with the accuracy of that statement?
22 Q We go to page 199. Do you identify -- Do you
22 A Well, I've got to define what contact is - 1
23 recognize and can you identify the document?
23 mean, what repeated is. Is repeated every day for a year?
24 A Yes, this is the "Hygienic Guide Series" put out
24 1 don't think anybody should be exposed to repeated contact
25 the American Association of Industrial Hygiene on
25 with chlorodiphenyls whether they have liver disease or
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1 Chlorodiphenyls containing, 42, 54 and 42 percent chlorine.
1 not. We warn against repeated or prolonged skin contact.
2 Q We go to page 201.
2 Q Did Monsanto advise prospective employees of
3 A Yes, sir.
3 that particular special procedure?
4 Q Roman numeral four,"Medical Information, A,
4 A Well, we wanted them to avoid repeated
5 Emergency Treatment: Skin surface is exposed to
5 contact, so 1 think we were more conservative than these
6 Chlorodiphenyls:" That's PCB; correct?
6 people. They just said people with known liver disease
7 A Yes, sir.
7 should not be exposed. We say everybody should not be
8 Q "Should be thoroughly washed with soap and
8 exposed to repeated contact with chlorinated diphenyls.
9 water at once." Do you agree with that?
9 Q Did you screen potential employees by
10 A Yes, sir.
10 determining if they had known liver disease before they
11 Q "If clothing has been contaminated, it should
11 started working in PCBs?
12 be removed promptly." Do you agree with that?
12 A 1 think we gave these individuals the same
13 A Well, it all depends what you mean by promptly.
13 examination we gave any of our industrial workers.
14 1 mean, 1 wouldn't pull it off as though it had
14 Q I'll ask it one more time.
15 battery acid on it or something like that, but...
15 A Well -
16 Q Define promptly for us.
16 Q Did you screen prospective employees for the
17 A Well, 1 think you'd have to ask them how
17 existence of known liver disease before they started
18 they're using it. My idea of promptly might be entirely
18 working in PCBs at Monsanto Company?
19 different than theirs. 1 might say within a reasonable
19 MR. CARNEY: I'm going to object to it. You
20 time. Then he'll ask me what is reasonable. Well, if the
20 haven't spelled out the time frame.
21 man is going to go to lunch in a half an hour, he can
21 MR. McCREA: From 1936 to 1974.
22 certainly, depending on how much he's got on his clothes,
22
MR. CARNEY: And this question had been asked
23 he can wear it, use it for a half an hour.
23 and answered several times today.
24 Q So you would --
24 A We did not screen the employees who worked in
25 A If it happens every day, that's a different
25 the PC department for liver disease any more than we
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
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1 screened anybody who came to work in the chemical plant for 1 results of their studies?
2 liver disease, pre-existing liver disease.
2 A Well, just a moment. 1 answer is yes, but you
3 Q (By Mr. McCrea) Would you turn to page 203?
3 have picked out one sentence and implied that they have
4 Have you examined in detail before today's date the
4 edited all these studies and there's two other articles or
5 documents relating to the IBT studies contracted between
5 two other reports he called the material non-carcinogenic.
6 Monsanto and IBT?
6 This one and 1254, he said slightly tumorigenic. So
7 A Well, what document do you mean, Mr. McCrea?
7 Lavinskas wrote them and said, "Let's get the wording
8 Do you mean the reports?
8 together on all the same."
9 Q Yes, sir.
9 As far as the company would be concerned, 1 think
10 A Well, the reports came before 1 left. 1 read
10 the sentence "does not appear to be carcinogenic" would be
11 the reports. There are other reports that came after 1
11 worse for Monsanto than slightly tumorigenic, and after
12 left.
12 all, the problems with the Aroclor, the discussion orthe
13 Q Have you seen this document and reviewed this
13 debate about the Aroclor toxicity studies was a presence or
14 document before today, the April 18, 1975 letter from J. C. 14 absence of carcinogen, of cancers. That was what -- They
15 Calandra to Dr. George Roush, Jr.?
15 were reviewing all the material to see does this material
16 A 1 don't think 1 have.
16 cause cancer in the livers of the rats.
17 Q Was Calandra indicated along with Wright for
17 So the answer then was if it doesn't say it - Now,
18 falsifying studies at IBT?
18 it might have been better to say slightly tumorigenic, but
19 A 1 don't know if he was.
19 does not appear to be carcinogenic, well, 1 don't think
20 Q Have you seen the document on page 204 before 20 that would hurt anybody, but 1 believe they wanted, if the
21 today which goes 204 through 208?
21 condition, if it were true in 40, in 60 and 42, and they
22 A 1 may have, but I'm not sure.
22 wanted the reports to read all the same if that were true.
23 Q Do you have any present recollection of having
23 Q Is that testimony based on information given
24 seen that document before today's date?
24 to you by George Lavinskas?
25 A 1 may have. 1 mean, 1 don't know.
25 A Yes, I've talked to George about it.
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1 Q All right. Fair answer. We go to page 209.
1 Q Did George know that slightly tumorigenic was
2 Before today's date, have you reviewed this document which
2 a positive finding indicating a positive result indicating
3 is a letter from George J. Levinskas to Dr. J. C. Calandra
3 a positive action by PCBs?
4 dated July 18, 1975?
4 A I'm sure he did, but remember, we are talking
5 A Again, 1 may have seen this in conjunction
5 about the problem and this was do these PCBs cause cancer
6 with some of these depositions, but 1 don't recall whether
6 in the liver of rats. Kimbrough said they do. Our work at
7 1 have seen it before. 1 believe 1 have seen, but 1
7 Bio-Test showed they don't.
8 don't recall when.
8 Q Would you also -
9 Q Have you seen the data on page 211 ?
9 MR. CARNEY: Would you let him finish?
10 A No, this 1 have no recollection of having
10 MR. McCREA: Yes, 1 will.
11 seen.
11 A And so tumor, slightly tumorigenic does not
12 Q Page 212. Have you seen this document dated
12 mean cancerous at all.
13 August 4, 1975 which is a letter from J. C. Calandra,
13 Q (By Mr. McCrea) What does it mean?
14 president of IBT, to Dr. George Lavinskas, manager,
14 A It means they are hepatomas which are, could
15 Environmental Assessment and Toxicology, Monsanto Company? 15 be considered a localized overgrowth of normal liver cells.
16 A Again 1 may have.
16 That's what hepatoma is.
17 Q Did J. C. Calandra agree to - In paragraph
17 Q Is that something that is unwanted in a liver?
18 one he states, "We will amend our statement in the last
18 A Well, 1 think anything -- Yes, it's unwanted.
19 paragraph on page two of the Aroclor 1254 report to read,
19 Q What does not appear to be carcinogenic
20 quote, 'does not appear to be carcinogenic', quote, in
20 mean?
21 place of, quote, 'slightly tumorigenic', quote, as
21 A Does not look like it causes cancer.
22 requested."
22 Q Is that a negative finding?
23 A What was the question about that, that you -
23 A Well, 1 don't know. It's pretty positive. If
24 Q Are you familiar with the fact that your
24 you say, "1 don't believe there's any cancers here," that's
25 former company requested IBT to change the wording on the
25 pretty positive, isn't it?
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1 Q Positive that it doesn't cause cancer?
1 Q And said, "Dr. Kelly, we've done a magnetic
2 A Yes, that's right.
2 resonance imaging on your grandchild and he has a slightly
3 Q But slightly tumorigenic is absolutely a
3 tumorigenic condition in his liver," would that concern
4 crystal clear communication that PCBs do, in fact, cause
4 you?
5 that?
5 A Certainly it would, but the point is you are
6 MR. CARNEY: Cause cancer?
6 talking about a completely different situation. On a
7 MR. McCREA: No.
7 magnetic resonance imaging you can't tell whether that
8 MR. CARNEY: In rats?
8 tumor is a cancer or not. Certainly it would concern me,
9 Q (By Mr. McCrea) Cause these slightly -- that
9 but here we have got microscopic sections which show that
10 PCBs are slightly tumorigenic?
10 it this is not a cancer.
11 ABut then we would have to get down to the
11 Q Dr. Kelly -
12 reports on the 1254, and let's see howmany there were here 12
MR. CARNEY: And we're talking about rats
13 and let's see whether that same English was used on 1260 13 here, not a grandchild.
14 and 1242.
14 MR. McCREA: We're talking about the word
15 Q It was, wasn't it?
15 slightly tumorigenic and the impact that would have on the
16 A Well, 1 don't know. Let's see it. 1 don't
16 reader.
17 know.
17 MR. CARNEY: But the slightly tumorigenic is a
18 Q All right. Go ahead. Look at it.
18 reference to a rat.
19 A Where is it?
19 MR. McCREA: Which Monsanto wants the public
20 Q They changed the wording in all the reports,
20 to accept as being valid with regard to conditions in human
21 didn't they?
21 health.
22 A No, 1 don't think so. 1 was just talking
22 MR. CARNEY: Well, 1 think - 1 don't think
23 here about 54.
23 Monsanto cares whether you use -- Does not appear to be
24 Q All right. You don't think they changed the
24 carcinogenic is not inconsistent or at odds with slightly
25 wording on any other reports?
25 tumorigenic. 1 think you're acting like these two phrases
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1 A Well, 1 don't know. Let's see the reports,
1 are at odds with each other, and 1 think Dr. Kelly is
2 Mr. McCrea.
2 saying they aren't.
3 Q All right. Well, let's go to the letter.
3 Q (By Mr. McCrea) We'll let a jury determine
4
MR. CARNEY: Mr. McCrea, the problem is you're
4 whether or not those mean the same thing. All right. Now,
5 showing him documents. This is six months at least after
5 with respect to whether or not they changed the wording on
6 Dr. Kelly retired from the company, and if you want to ask
6 other reports --
7 him about what's in a report and whether it was changed or 7
A Who is they by the way?
8 not, 1 think you ought to show him the report. That would
8 Q IBT.
9 be the best evidence of it. Then we don't have to
9 A All right, all right.
10 speculate about whether it was changed or what it said.
10 Q At the insistence of Monsanto.
11 Q (By Mr. McCrea) Go to page 209 to determine
11 A Well, 1 don't know whether there's been any
12 whether or not Monsanto changed the wording on the reports 12 insistence. In the first place, he suggested it. In the
13 for 1242, 1254 and 1260.
13 second place, this letter that you wrote on July the, or
14 MR. CARNEY: Well, I'm going to object to
14 was written by George Lavinskas on July the 18th, 1975 said
15 Exhibit 209 indicating what was done on the reports. This
15 the previous conclusion of slightly tumorigenic was changed
16 is a letter from Dr. Lavinskas and Dr. Calandra. 1 think
16 to does not appear to be carcinogenic. Now, 1 don't know
17 the best evidence of whether a report was, some wording was 17 at whose insistence that was changed. Do you have a letter
18 changed -- 1 might add it's insignificant. 1 don't know
18 there showing that Lavinskas wrote them and said change
19 why we're wasting time on this slight word change, but the 19 these other two?
20 reports would be the best evidence.
20 Q Yes, 1 do.
21 Q (By Mr. McCrea) If a doctor came up to you
21 A May 1 see it?
22 and he said, "Dr. Kelly, we've done a" --
22 Q All right. The second paragraph, Dr. Kelly,
23 A Which doctor by the way? Who?
23 of the July 18, 1975 letter was George J. Lavinskas to Dr.
24 Q If a doctor came up to you-
24 J. C. Calandra states, "In two instances, the previous
25 A Oh, okay.
25 conclusion of, quote, 'slightly tumorigenic,' quote, was
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
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1 changed to, quote, 'does not appear to be carcinogenic."'
1 it. They're running this test because there was a
2
MR. CARNEY: What page are you reading from?
2 reevaluation of the test because there was a dispute
3 Q (By Mr. McCrea) Page 209. "The latter phrase
3 whether these materials were carcinogenic, and if you're
4 is preferable. May we request that the Aroclor 1254 report
4 running a test looking for cancers and you don't find any,
5 be amended to say, quote, 'does not peer to be
5 1 think the thing to do it to say you don't, it isn't
6 carcinogenic."' That letter would indicate that two
6 carcinogenic. It think in the NCA work they said, with
7 previous conclusions were changed and that he is requesting 7 1250, NCI, National Cancer Institute, with 1254 they said
8 that a third change for Aroclor 1254?
8 under the, under the circumstances of this test, 1254 is
9 A It doesn't indicate that at all to me because 1
9 not carcinogenic.
10 don't know who changed that. It might very well be that
10 Q Is there a question to you, Dr. Kelly?
11 -- After all, they're in there testing for cancer, so it
11 A 1 thought there was.
12 might very well be that IBT decided we believe it's wiser
12 Q On Aroclor 1242 it supplemental report stated
13 to put down does not appear to be carcinogenic if you're
13 slight tumorigenic. The hand delivered report from
14 doing a carcinogen study, and they didn't do it on 54 and
14 Calandra was changed to does not appear carcinogenic. Is
15 that's why George wrote them and said the latter phrase is 15 that correct?
16 preferable, and 1 didn't see anything in there about
16 A That is correct on this statement, yes.
17 insistence on this stuff.
17 Q Dr. Kelly, have you ever requested a change in
18 Q Go to page 211.
18 a conclusion of a laboratory doing toxicological work?
19 A Yes, sir.
19 MR. CARNEY: You're implying that there was a
20 Q Does that show three columns, one, the
20 change in the conclusion. 1 think that mischaracterizes
21 product; two, the supplemental report that was mailed; and 21 the record.
22 three, the supplemental report that JCC delivered?
22 MR. McCREA: Well, 1 understand that your
23 A Yes, sir.
23 position is that the word slightly tumorigenic and does not
24 Q And for Aroclor 1260 did the mail report
24 appear carcinogenic mean exactly the same thing.
25 contain the conclusion slightly tumorigenic?
25 MR. CARNEY: No, what I'm saying is 1 don't
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1 A Yes, sir.
1 think they're inconsistent, you know. It's not like saying
2 MR. CARNEY: I'm going to object here. You're
2 it's carcinogenic and then saying it's not carcinogenic
3 looking on a summary of some reports and it seems to me it 3 which is, 1 think, the implication you're trying to give.
4 would be better to have the actual reports be the best
4 MR. McCREA: No, tumorigenic as opposed to not
5 evidence of what's in there.
5 causing cancer which he said is a positive finding.
6 Q (By Mr. McCrea) And did the supplemental
6 Tumorigenic is a positive finding which indicates a health
7 report which was delivered by Calandra contain the
7 problem. Does cause, does not appear, does not appear to
8 conclusion does not appear carcinogenic?
8 be carcinogenic indicates no health problem.
9 A Yes, sir, but it doesn't say at whose option
9 MR. CARNEY: Well -
10 this was put in. You were going to give me a letter where
10
MR. McCREA: Slightly.
11 Lavinskas wrote about 1260 or 1242 asking for a change in 11
A No, it doesn't. Are you quoting me? That
12 those two studies and --
12 isn't what 1 said.
13 Q I'll try and locate that between now and
13 MR. McCREA: All right.
14 tomorrow.
14 A You are putting words that are entirely
15 A Fine. I'd be happy to see it.
15 different than 1 have testified to.
16 Q Aroclor 1254, the supplemental report which
16 Q (By Mr. McCrea) What does slightly
17 was mailed contained the conclusion slightly tumorigenic.
17 tumorigenic mean?
18 The supplemental report which was delivered also contained 18
A Means there is a small amount of tumors found
19 the phrase slightly tumorigenic. And do you understand by 19 in the test animals that were not malignant, were not
20 the letter of July 18 that Lavinskas is requesting a change
20 cancer.
21 of that conclusion for 1254 from slightly tumorigenic to
21
Q Is that a physiological
change?
22 does not appear carcinogenic?
22 A It may be.
23 A It's not a change in the conclusion. What he
23 Q Is that a physio--
24 is doing is saying, "Let's have all the reports read the
24 A And it may be pathological because after all,
25 same." If that's -- If they're not carcinogenic, let's say
25 hepatoma is made up of liver cells. It's not a change in
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1 the cell. It's made of liver cells, normal liver cells.
1 criteria document by NIOSH or not. 1 don't believe I've
2 Q Is that a change in the liver?
2 seen it in this form as we've got here, 28 pages. It
3 A Yes, it's a change in the liver.
3 doesn't say where it was published or anything else.
4 Q Is that a change in the liver caused by PCBs?
4 Q Would you go to page 229?
5 A It's caused by lots of things, but it could be
5 MR. CARNEY: Why don't we -- If we're going to
6 causes by PCBs, yes.
6 another page, we're almost finished with the tape, and it's
7 Q What does does not appear to be carcinogenic
7 about quarter till six. 1 think we've been going since
8 mean?
8 8:30 or close to that. That's when we were supposed to
9 A It means that it does not appear to be, that
9 start. 1 guess we got started a little bit late. 1 think
10 PCB does not appear to cause cancers in the test animal.
10 that's a pretty long day, and 1 believe just -
11 Q And from that can you determine if there were
11 MR. McCREA: Are you saying you'd like to
12 any changes in the liver?
12 stop? 1 mean, that's fine with me.
13 A No, sir Remember, we are looking to see
13 MR. CARNEY: Well, 1 think we're within a few
14 whether they're cancerous or not and you are quibbling
14 minutes of the end of the tape. 1 think you've indicated,
15 about phrases and I'm saying that here the National Cancer 15 so the jury will know when there's light at the end of the
16 Institute used the same phrase in describing 1254, does not 16 tunnel on this thing, that you've thought you could
17 appear to be carcinogenic under the details of, under the,
17 complete or you indicated you were sure you could complete
18 this program of their testing. They use that term.
18 this cross examination in three more hours. Is that
19 Q Did you -- Did Monsanto inform the government
19 correct?
20 of this change?
20 MR. McCREA: Correct.
21 A We gave the government every report we had.
21 MR. CARNEY: Okay. Why don't we quit for the
22 Q Dr. Kelly, has Monsanto made any independent
22 day.
23 reviews of the work done at IBT as a result of Paul 24 Wright's indictment?
23 MR. McCREA: Agreed. 24 *****
25 MR. CARNEY: I'm going to object here. You're 25
Page 262
Page 264
1 now going back to IBT and 1 thought we covered that for a
1 COURT MEMO
2 couple of hours. 1 don't know what day it was, but one of
2 IN THE CIRCUIT COURT OF THE CITY OF ST. LOUIS
3 the last five days.
3 STATE OF MISSOURI
4 Q (By Mr. McCrea) If you know.
4
5 A 1 know only from an anecdotal point of view,
5 Glenn Brown, et al. vs. Monsanto Company
6 and my answer to that is they have, that they have reviewed 6 862-00694
7 and done work on the toxicological work on products of
7
8 theirs that were suspected or alleged by the government to
8 CERTIFICATE OF OFFICER AND
9 be affected by the IBT people. Neither of those two - One
9 STATEMENT OF DEPOSITION CHARGES
10 was TCC which is a soap bacteria stat and the other was an 10
11 agricultural chemical, and they, I've never seen any
11 DEPOSITION OF DR. R. EMMET KELLY
12 subsequent reports, but 1 have been told that the results
12 TAKEN ON BEHALF OF THE DEFENDANT
13 were consistent with what IBT found and PCB was not
13 6/15/1990
14 involved in the case, so they did not recheck it.
14 Name and address of person or firm having custody of
15 Q Dr. Kelly, would you go to page 224? Have you
15 the original transcript:
16 seen this document?
16 Amanda Russo
17 A 1 haven't got up to it yet.
17 Husch & Eppenberger
18 Q All right. 224.
18 190 Carondelet Plaza, Suite 600
19 A Yes, but I've got to see the document.
19 St. Louis, MO 63105
20 Q 1 understand. I'm trying to help you out on
20
21 the page.
21
22 A Well, 1 don't know what form I've seen this
22
23 document. It says, "Background Information on
23
24 Polychlorinated Biphenyls" by NIOSH. 1 don't know if that
24
25 was part of the material that went into the proposed
25
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Pages 261 - 264
LEXOLDMON007007
Page 265
1 ORIGINAL TRANSCRIPT TAXED IN FAVOR OF:
2 Amanda Russo
3 Husch & Eppenberger
4 190 Carondelet Plaza, Suite 600
5 St. Louis, MO 63105
6 Total:
7
8 Upon delivery of transcripts, the above
9 charges had not been paid. It is anticipated
10 that all charges will be paid in the normal course
11 of business.
12 GORE PERRY GATEWAY & LIPA REPORTING COMPANY
13 515 Olive Street, Suite 700
14 St. Louis, Missouri 63101
15 IN WITNESS WHEREOF, 1 have hereunto set
16 mv hand and seal on this
dav of
17 Commission expires
18
19 Notary Public
20
21
22
23
24
25
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
Page 265
LEXOLDMON007008
[& -1964]
Transcript Word Index
& 115
& 2:21,25 264:17 265:3,12 0
0
181:15 116
214:7 117
215:12216:7,15
221:1 0.1
119 2:21 7:21 15:8,12
100:21 164:19 188:8,10 0.2
102:2,8,17,20 164:12 0.5
12 15:3 17:14 114:18 127:19 151:8,17 155:9 185:23 186:5 202:18,20 229:18
187:20 188:10
242:9
0.57 37:20
0.6 164:19 188:3,9
0.75
120 216:7
1200 5:18
121
22:11,12 38:6,7
217:5 218:4
1 122
1 217:13218:11
19:17 101:2 127:19221:1 123
1,100,000
220:2,7
148:6
1242
1,337
90:6 98:19 99:7 101:7
191 7
102:11,13 107:6 153:8,19
1 0 153:22,25 159:9,17,19,22
101:7 102:16 113:8
160:1,4,11,18 161:2,17
1/4,000
253:14 254:13 258:11
90:21
259:12
1:00 1248
133:20
153:8,23
10 125
188:25
220:19 221:5,7
10.0 1250
100:22 100
259:7 1254
2:25 76:16 181:15 193:24
90:7 98:17,24,24 99:7
203:8 205:11,12,14
100:22 101:7 102:11,13
10085
107:6 153:8 164:3 165:9
195 7
250:19251:6 253:12
101 13:10
254:13 257:4,8 258:16,21 259:7,8 261:16
1016
1254/1260
161:12,20,22,24,25 162:2,4 152:16
1629
1260
104 215:19 233:20 253:13
149:2 206:3
254:13 257:24 258:11
107 1264
182:2 205:21
101:3
11 1268
77:25 78:6,14 212:7
5:9 6:9,16 7:6,14 10:1
110 14:11 15:7 16:4 17:14
211:16212:7
98:23 99:3,3,7 100:23
114 107:6
207:19,22
13 18th
104:11 127:19 186:5
19:9 256:14
130 190
222:24 223:10
231:7 234:13 264:18 265:4
131 1907
224:3
2:12
133 191
224:15,17
234:8,18
14 192
182:1 205:21 208:4 230:12 237:3
141 1930s
225:7,9
242:21
143 1933
225:24
48:22
145 1936
226:1,14
18:5 19:8,9 23:24 27:22
146 68:19 128:9 248:21
226:22
1937
148 7:17 20:2 23:10
227:12,13
1938
14th
4:27:16 17:11 18:5 19:10
145:25 208:4,15,22
25:21,24 26:2 41:22
15 1940
1:162:11 4:1 18:5 20:5
236:4
75:7 86:15 106:22 127:20 1947
206:14 207:1,13 210:3
79:16
212:15213:2
195
150 238:22
170:10 171:11
1950
1506
85:24,25
1:26 1951
151 77:14
227:20
1953
154 96:4,6
228:22
1954
157 101:9
229:1
1955
15th
97:11 101:22 107:19
19:10 214:14 224:22
108:12 109:4,11 110:6
16 114:4 115:7 116:16,24
37:20 161:16 162:4,6,6
117:2 124:6 126:15,17
210:3 214:8
130:11
17 1957
150:15,21
66:17
174 1958
229:18,20
59:20 60:6,19 63:25 66:7
17th
67:3
152:5
1959
18 55:9
19:17 249:14 250:4 256:23 196
258:20
238:25
184 1960
230:10,14,16
43:15
189 1964
230:5
141:13
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007009
[1967 -621-2571]
1967
2080
30s
49
165:8,13 168:3,5,6,11
148:6
243:6
55:10,11,11 73:1774:16
1968
209
30th
5
143:9 144:3,9
250:1 254:11,15 257:3
162:21 167:9
5
1969
20th
31
63:11,1266:11,1767:8
144:16 145:1,25 146:23
97:10 193:1
223:14
90:6,7 91:7 101:6 102:16
150:15,21 156:9 157:23 21
314
113:8
158:16,23 159:18 235:20
3:23 18:4,1620:11,16
1:28
50
1970
211
31st
27:4 29:11 59:18 77:3
145:19 160:6,10,14 161:21 250:9 257:18 162:21 164:21 165:9 166:8 212
127:18 223:25 33
167:7,9 172:17 188:25 50- 50
167:9 173:23 174:8 180:12 250:12
79:15
226:7
183:8,21 184:3 186:13
22
34
51
187:3 189:9 191:1 192:7,23 143:9 144:3 226:16
18:4 149:12
77:19 78:25 79:11 80:13
193:1,7
224
35
51- 49
1971
262:15,18
18:6,10,11,12,1720:9,11
226:8
182:1 194:8 195:4 196:22 229
20:17 104:12 105:18,20 515
200:3,4 202:9 203:5 204:7 263:4
107:9 128:17,18,25
1:26 265:13
205:21 208:4,4,15,23
23 rd
36
52
214:14 219:20 223:14
196:22
79:15 90:11
12:25 85:6
1972
24
37
53
224:22 228:7 229:8 230:17 227:1
20:3,4
89:12 90:25
1974
245t
38
54
114:5 128:9 226:17 228:24 56:22
4:14,17 18:23 20:5 23:10
90:7 92:6,19 98:19,25
229:18230:12231:1,11 233:5 248:21
246 88:6
39 90:12 114:5
102:16 246:1 253:23 257:14
1975
26
3rd 5460
234:18 235:16 249:14
5:7 6:8,17,22 7:20 12:18
145:1 235:16
6:5 15:21,25 16:6,14,16
250:4,13 256:14,23
13:6 195:4 200:3 202:9
4 17:14
1977
261
A
55
27:22 32:9,22 33:10,16
127:4
250:13
95:22 101:25 114:8
34:4,9 204:11
262
4,500
57
199
234:13
171:13
97:2,5 109:4 165:19
245:22
26th
40
58
1990
204:7
160:24 251:21
97:6 115:7 126:7 127:3,5
1:162:11 68:19 127:20 27 41 59
1st
5:11,14 13:15 14:6
162:8 225:8
133:18 134:2,5,10
19:8
2
2 79:15 102:13,24 221:1
20 43:17 108:12 109:4,11 110:6 115:7 124:6 164:14 186:13 189:9 192:7,22 193:7,7,14 200:24 210:2
20,000 106:22
28 146:23 228:24 263:2
28th 147:16
29 15:19 85:25
29th 85:24
2nd 194:8
3
42 6
19:1,15 90:8 98:20 102:17 246:1,1 251:21 43 17:18,24 20:25 21:2,6 22:9
6 15:4 173:13,18
6/15/1990 264:13
36:1 64:9,19,22 65:17
6:00
44 64:9
4465 5:12,15,176:5 18:18,21
46
2:11 60
134:6 251:21 600
135:6 264:18 265:4
201 3
73:9 78:7,9,9,13
61
246:2
144:16 187:5 215:19221:1 47
134:6
203
221:15 234:18
78:13
62
249:3
30
47402
6:13
204
8:17 10:20,24 15:24 160:24 2:22
621-2571
249:20,21
164:21 165:9 166:8 170:10 48
1:28
208
171:12 174:8 183:8,21
78:14 227:1
249:21
184:3 193:7
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007010
[63101 - affect]
63101 1:27 265:14
63102 2:26
63105 264:19 265:5
64 6:13 140:19
67 168:25
68 5:10 99:4
69 152:5
6th 194:8
7
7.5 65:5
70 76:15 141:19,21 149:5,5
700 265:13
70s 201:4
71 208:12 223:25
72 13:10
72-10419 228:8
75 65:5
78 143:3,4,12
79 143:20
8
8 98:13 160:6,10 161:21
8:00 2:11
8:30 263:8
80 144:13,15
81 145:3
82601 221:10
83 145:20,21 146:17
85 146:12,13,21
86
abstract
adamant
148:3
217:5,13218:6,11,14
179:10
862-00694
219:10,14
add
1:6 2:6 264:6
accept
71:22 128:23 185:24
87 70:2 183:18 188:13 255:20 201:23 254:18
148:24 152:6
acceptable
added
88
71:20
11:4 23:20 53:14
150:5 151:11,13202:13 accepted
addition
89
103:13 203:22
24:1 47:22,25 132:25
151:6,11,22 152:10
accompanied
202:18,20
8th
52:23
additional
160:13 161:23
account
40:7 103:7 194:25
9
121:24 122:5
address
9
accuracy
89:12 92:6 145:2 196:22
231:11 90
162:11,12,15 188:7
166:6,7
188:5
66:21,22 209:15 235:4 236:15 239:5 247:21 accurate 92:9 145:14 150:20 151:3
207:11,14 209:22 241:12 264:14 addressed 183:7 202:19 244:5
91
236:1
adds
162:13 193:21 92
accurately 23:13 178:11
14:20 adequate
186:10 192:25 93
187:19 188:23 191:25
acid
230:23
81:3,3,5 89:7 167:22
adhesive
168:16 169:4 170:1 246:15 145:13
192:25 193:3 227:4,5,6 94
acknowledge 42:10 104:23
administered 7:7,24 8:2,21 10:25 11:1,2
193:19,23 194:2 95
194:22
acne 137:22,23,24
act
11:3 12:13 24:8 25:8,15 26:13 administration
97 195:19 196:20
11:18 acting
9:1,9,25 10:2,12 14:1 administrator
99
105:18 107:9 255:25
199:20
202:24
action
admit
150:8,16 151:10,13,16,25 129:17
a
152:2,7 153:18 154:6
admitted
a.m.
156:21 158:3,12 167:23
24:15
2:11 abdominal
176:21 185:23,25 200:20 adulterating
202:7,10,13,15 223:21
175:17
199:3
224:1 243:18 252:3
advantage
ability
actions
103:6
98:9
194:21 198:18
adverse
able
active
11:2,4 12:1445:1969:1
4:25 5:3 27:7 50:18 52:16 233:12
95:21
53:25 55:3 72:11 102:12 actively
adversely
115:21 126:10 130:7
116:20 117:13
230:20
193:18 244:22
actor
advice
absence
60:15
98:1
251:14
acts
advisable
absolutely
15:15 101:23
191:6
13:23 14:22 203:19 253:3 actual
advise
absorbed
107:3 108:13 110:22
41:19 68:14,14 76:2 248:2
50:21
112:18 120:6 258:4
advised
absorbing
acute
74:23
95:4 22:18 37:25 81:8 221:13,15 affect
absorption
228:2 239:19
110:17 175:14230:20
82:1 240:4 243:21
243:10
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007011
[affidavit - appears]
affidavit
ak
amended
answer (cont.)
182:1,1 230:2,5,9,12
215:19
257:5
75:17 80:17,25 86:18 87:12
afraid
al
america
88:3 92:14,16 94:20 96:14
158:15
1:4 2:4,17 264:5
85:16 232:22
99:14 104:1 106:19 107:10
age
alabama
american
108:3,17 114:15 115:2
89:3
43:11,13 44:10,25 74:5
245:25
120:11 124:24 125:4 128:8
agency
86:17
amount
128:21 130:21 131:11,12
174:20 199:21 225:20
alarming
15:3 90:15 96:9 100:14
131:25 137:25 150:2
agenda
233:19
101:12 108:5 113:19
153:17 155:24 166:24
152:15
albert
117:14,23 140:18 157:16
174:24 178:20 184:12
agent
234:18 235:23,25 236:7
211:13260:18
191:20 193:18201:6
54:4 55:5
238:22 239:1
amounts
206:18 208:21 209:2,6,7,24
aggressive
alcohol
149:2 155:16 156:4 211:12 209:25 210:16,17,22
186:24 187:7,16
7:23,24 8:4,21 9:1,9,18,23 analysis
211:13214:23 222:1,4
ago
10:2,12 11:25 12:2,25 14:1 219:20 229:3,5
228:20 231:5 235:13 239:4
38:21 59:18 105:18,20
14:2,21 22:3,12 23:20 24:1 analyst
239:5 240:10,21,24,25
107:9 128:2,17,18,25
24:9 25:5,16 26:5,22 38:7 79:14
241:1,8,22 242:1,11 243:16
131:10,13 138:6 200:24
39:13 40:4,9 65:22 68:18 analytical
244:6 245:3,13 250:1 251:2
238:1
69:12 72:13,23 73:8 109:17 53:24 81:1 89:15 229:2,5
251:17 262:6
agree
120:24
analyze
answered
8:25 9:4 11:21,24 12:3 13:3 alcoholic
50:4 53:20
39:18,22 41:3 55:1471:1,4
14:4 16:13,19 17:1 29:18
109:8
analyzed
71:18 127:14 128:14 242:7
29:1946:5 71:5 81:11
alive
50:3 248:23
82:13 83:12 84:3 86:7
201:3
analyzing
answering
90:24 100:1,6 105:18
alleged
121:20
181:16 185:18
114:21 134:18 137:12
262:8
anecdotal
answers
140:1 142:15 151:3 178:11 alleging
262:5
40:23 69:19 239:1
179:19 207:7 208:13 209:9 60:2
animal
antedated
209:15 212:21,25 213:20 allergic
15:8 24:7,10 25:14 26:23
185:14
217:19218:14221:17,22
238:15,19 244:13,15
26:24 27:2 98:10 107:18 anticipated
228:6 234:25 235:2,4 236:5 allis
218:22 240:1 261:10
265:9
236:14 239:4,8,15 240:1,12 27:20
animals
anybody
240:22 242:1 243:23
allow
7:21 8:3,5 9:10,22 14:17
9:5 15:6 26:8 68:3 96:17
245:12,14,14 246:9,12
69:20,24 71:17,21 126:14 22:13,16 26:12 37:23 38:8 97:25 228:19 247:24 249:1
247:15,20 250:17
allowable
65:7 103:20 178:8 180:6
251:20
agreed
63:24 66:16 73:5 82:9
239:17 240:18 260:19
anymore
185:15 217:22 218:5,6,8
87:17 100:21 101:1,10
anniston
190:8 229:25
233:23 263:23
104:14 118:22,25 119:3,24 43:10,13 44:10,25 73:14 anyway
agricultural
120:1,18,21 121:6,25
74:5,24 75:2,8 76:5 85:16 23:2
46:16 51:3,6 54:1,18 57:5 122:10,13 125:2,6,9,13
85:17,22 86:10,17,20,24 apartment
58:2 189:11,13 262:11
126:2 132:13 235:21
87:2 148:7,18
93:1
agriculture
allowed
annual
apologize
46:20 53:12 189:11,18
74:22 75:4 82:3 135:5
87:20 88:10
30:23
ahead
136:24 140:3,5,6 224:9 ansi
apparently
31:25 40:18 209:23,25
alternate
205:20
8:14,20 9:3,3,20 12:22 13:1
210:13218:18253:18
150:17
answer
13:17 230:21
aid
amanda
24:23 28:3 33:1,25 34:19 appear
93:2,3,4,5
264:16 265:2
35:2,10,12,14 36:21 39:1
18:17 218:25 228:2 236:7
air
ambient
39:23,25 40:16 41:2,12,25 250:20 251:10,19 252:19
15:5,7 16:3 66:9,10 82:1,11 66:8,9 93:22,25 126:4
42:20 43:4,7 44:4 45:3,11
255:23 256:16 257:1,13
82:19 87:15 89:23 90:10,13 ambiguity
48:25 58:13 61:6,18,19,23 258:8,22 259:14,24 260:7,7
91:3 92:1 101:13 103:23
35:9
61:25 62:2,4,6,14,19 63:14 261:7,9,10,17
110:12,16 115:15,16
ambiguous
65:1 67:1,23 68:8 69:9,14 appeared
116:12 161:8
11:7
69:17,19,20,21,24,25 70:4 137:7
airline
amend
70:5,6,9,18,21,25 71:6,7,12 appears
94:25
250:18
71:18,19,19,22,23 73:1
77:23 78:25 97:4 217:5,13
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007012
[appears - background]
appears (cont.)
aroclor (cont.)
assistant
attorneys
220:7 225:25 227:12
164:3 166:12 178:7,16
134:23
106:3,8
apples
180:6 184:8 186:21 187:2 associate
attributed
119:9
215:19,24 216:8 219:13
27:7
86:19 87:3
application
233:20 250:19251:12,13 associated
august
115:15 191:17 192:2
257:4,8,24 258:16 259:12 20:10 45:1,15 229:25
194:7 213:12250:13
245:11
aroclors
239:23
authenticated
applications
6:7 73:14 74:5 78:10 91:1 association
144:6
124:13,20 129:14 145:10
96:10,15,18,25 107:3
27:14,17 194:7 244:8
author
145:17
110:22 112:18 134:22
245:25
83:9 97:14 111:23 134:22
applied
148:15 151:1 153:13
assume
222:7,9 229:22
102:11
215:22
18:5 83:10 127:4 134:18 authored
applies
article
136:23 143:22 201:23
116:25 124:13 128:9
102:10 145:12
3:8,11 4:21,24 6:18 7:17
245:3 247:4
130:17213:8 228:12
apply
57:15 79:2 83:9,15,18
assumed
231:21 232:5
102:9 216:20
88:19 137:6,20 138:18,20 155:2
authority
appreciate
215:10,12 216:4,5,6,14 assuming
80:2 85:3,5 143:2 179:13
36:21 63:7
217:3,6,9,11,14,14,23,25
171:7
authors
approach
218:4,5,8,11 219:12 226:24 assumption
222:13
226:17
articles
24:20 27:16
availability
appropriate
10:18215:18,18242:21 assumptions
150:16
20:6 144:7 207:12 218:10 251:4
10:6 200:17
available
appropriation
ashes
assure
53:24 150:19,25 227:23
148:5
53:22
151:15 152:9 179:5
228:1 233:24 234:5 245:6
approve
asked
ate
average
130:14
3:14 30:5,12 43:24,25
170:22
37:19 87:25 88:4 98:20
approximately
59:21 60:19 61:5 67:4 70:7 atmosphere
162:6
92:8
70:11 73:19 84:5 103:25
91:13,17
avoid
april
105:9 120:12 131:9 168:6 atmospheric
44:22 69:2 71:20 94:22
143:9 144:3 145:25 146:23 169:20,23 170:4 171:25
73:4
95:15 131:5 133:2 176:22
160:6,10,13 161:21,23
176:25 182:21,23 184:25 atoms
248:4
186:13 187:3 189:9 192:7 189:10 191:6 210:14
53:14 153:22
avoided
192:22,25 193:7 249:14
217:22 218:4 242:8,10,15 atrophy
95:19
area
248:22
22:18,24 23:19 24:9 25:14 aware
16:21 44:14 52:9 81:9
asking
26:5,22 27:3,8,13 28:21
136:1 193:16 199:24
87:10 90:22 244:13,22
12:8 16:9,1023:1025:12
29:3 37:25 110:2,3 199:10 201:12 224:23
areas
32:5 33:23 34:17 40:10 attachments
awful
184:15 202:8
65:20 84:13,15 103:9,10
194:25
169:25 203:22 226:20
argue
107:8 121:10 127:21
attempted
awfully
10:18
128:24 138:18 147:14,17
157:22
235:11
arm 147:20 168:14 177:9
232:16 238:4,16 244:7,9
181:11 204:3 207:1 208:9
arms
208:11 209:8,12 258:11
67:18 68:7
asks
arochlors
62:1 72:12 201:18
79:17
aspects
aroclor
179:25 185:24
74:20 81:6 89:23 96:5,7 assembly
98:4,4,5,17,19 99:23 104:6 244:22
105:3,12 107:5,5 108:22 assess
110:9 112:4 114:11 115:10 232:20
115:18,24 123:18 131:21 assessment
131:24 135:4 146:7 148:6,8 250:15
148:19 149:2 152:16 153:7 assist
153:19,22,25 159:9,17,22 174:15
160:11 161:2,12,17,20
attend
b
190:5
back
attendance 144:3,5 200:8
attended 186:16 195:14
attention
23:9 33:1,25 35:2 39:2 48:6 58:8 61:19,21,23 62:1 71:10,13,21 78:9 81:20 106:17 107:9,13 115:6 123:6 146:7,16 159:23
10:23 20:16 92:7 95:24 112:23 113:13,18 118:10 118:14,21 119:5,23 120:18 122:12,20 145:2 151:22 211:16229:18
164:7 165:19 166:7 168:19 191:24 200:3 202:12 203:5 204:7 205:15,16,17 208:10 208:20 227:8 235:19,19 236:4 238:11 242:21 243:6
attorney
244:14 262:1
126:16 131:7 209:13 229:22,25
background 262:23
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007013
[bacteria - brings]
bacteria
behalf
bible
262:10
2:18 184:8 264:12
147:7
bad
beings
bicep
60:1568:23,23 81:6 175:12 208:3 209:18 211:4 240:19 238:4 244:9
badgering
belief
big
128:22
45:11
81:9 94:21 111:2 129:20
baker
beliefs
bill
79:15
180:24
195:1,14,17 197:25
ban
believe
billion
204:12,13
6:14 8:17 9:5 17:24 21:22 188:25 189:1
barrett
41:15 52:10 55:11 58:24 bio
97:9 102:19 103:7 106:13 59:8,13 64:4 70:12 71:6,6 252:7
110:7 115:8 165:23
72:9 73:6,7,21 81:17 83:1,8 biodegradable
barrier
84:21 85:3 86:1 88:5 91:11 160:2,3 162:3
245:4,5,16
94:21 96:9 100:24 104:4 biodegradation
base
105:11 106:4 113:17,22
153:7
59:16 113:18
116:22 117:16,25 118:1,4 biodegrade
based
121:23 122:15 123:25
153:14 159:14,15
26:14,16 82:24 164:4 168:7 124:3 125:8 132:2 137:4 biopsies
251:23
140:14 143:1 147:12
52:2 54:22
basf
152:20 153:4 162:5 165:5 biopsy
56:24
168:22 173:19 174:9
52:5
basic
175:11,22 176:2 179:20,21 biphenyl
11:5 185:12,13,16 191:1 192:9 142:8,9,10,13,16,17,20
basis
195:23,25 196:6,11 199:19 biphenyls
104:24 179:5 192:2,20
206:1 208:19,23 210:11
230:18 239:9 240:11,14
193:13 199:6,14 227:23
217:17219:19,21 228:5
244:10 262:24
228:1
229:13 239:8 242:8 244:6,7 bird
basp
250:7 251:20 252:24
240:20
57:3,21,25
257:12263:1,10
birds
batch
believes
98:11 155:23 158:14,15
235:17
71:7
240:17 241:14
bath
bell
bit
80:8 81:9 86:16 130:13
77:14
114:16 243:9 263:9
241:4
benefit
black
bathing
94:16
48:22 49:1,4 50:20 135:24
74:23 75:4
benignus
blackhead
battery
95:25 96:2,3,3,19
139:6,8,11
81:3 246:15
benzene
blackheads
beaker
5:21 15:14,15,20 20:1 24:2 136:15 137:1 139:4,13,14
80:9
25:3 98:7 99:10,12,12,14
139:24 140:2,8,10,12,14
beating
131:22,23
239:18
121:21
bergen
bladder
beems
150:8,10 163:1,12 176:10 215:2,5,11,12216:5
217:12
183:22 187:14 192:15
bladders
beer
193:9 202:23 224:21
214:23
67:5 68:3,9,10,25 72:7
bernard
blanket
beg
194:4
179:7
224:16
best
blew
beginning
3:19,21 52:22 93:2 138:18 48:2
81:23 95:25 134:11 206:5 156:2 201:19214:18
blood
207:21 211:17 230:2
245:16 254:9,17,20 258:4 15:16 199:3 229:6
245:11
better
bloomington
begins
189:10 193:17,18218:25
2:22 34:4 59:19 60:1,6
18:10,18 89:13 227:23
251:18 258:4
62:21,25 63:6 76:20,23
228:22
236:8 245:2
blow 133:12
blumenthal 160:6
board 143:14,18 147:10 163:20 170:13
bock 143:14 147:5
body 95:5 133:15 198:18219:12 219:15
boiler 6:2
bore 200:22
bored 200:23
boss 163:3
boston 236:9
bottom 8:11 12:18 13:6 14:16 19:15 125:24 134:10 143:21 149:1 150:7 159:8 196:19,23 207:21 210:18 215:16
bottoms 6:2,4
brain 53:1
bratsch 231:16
break 41:8 79:10 80:10 87:16 114:22 115:4 133:19 134:1 191:22 229:15
breathe 17:16 83:22 84:2 131:4 133:1,1
breathed 15:11
breathes 66:9,10
breathing 67:18 95:16,19 96:12
brief 138:19 148:13
briefly 5:196:9
bring 10:23 11:9,10 131:16210:9
brings 178:3
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007014
[broadway - cause]
broadway
call (cont.)
carbonaceous
carney (cont.)
2:25
219:7 220:17
50:20
193:22 197:7,9,12,16,19
broke
called
carbonless
198:5 200:2,16 201:23
56:3 4:17 5:5 6:1,7 58:23 59:20 149:16 150:4 191:21 192:3 202:18 203:3 204:2,15
brought
60:5,19 62:9 63:8,11 66:7 192:20
205:4,16 206:22,25 207:6,9
20:15 131:20 179:18,20
67:3 86:1392:10 111:15 carcinogen
207:22 208:7,12,16 209:2,5
211:17,18212:1,3,4,5,6,18 135:20 137:5,9,9 156:2
215:3 251:14 257:14
209:20 210:1 211:19,22
213:15
163:6 191:5 233:2 251:5 carcinogenic
212:9,13,22 213:1,21
brown
calling
250:20 251:5,10,19 252:19 216:12,14,17217:21
1:4 2:4,17 79:18,24 81:7,17 124:22 162:9 198:6
255:24 256:16 257:1,6,13 218:17219:7221:3,6,8
264:5
calls
258:8,22,25 259:3,6,9,14
222:1,3,6 223:1 225:11
bryant
62:24
259:24 260:2,2,8 261:7,17 226:9,11 228:10 230:11
146:17
Cambridge
card
232:23 234:12 235:1,6
bulletins
58:24
74:2
236:6,11 237:21 238:10,13
111:14,15,18
Campbell
care
242:14 244:25 247:16
bunch
196:16
16:2,20 30:22 82:7 109:25 248:19,22 252:9 253:6,8
30:19 101:19
cancer
137:6
254:4,14 255:12,17,22
bundle
215:11 216:5,25 251:16 careless
257:2 258:2 259:19,25
54:16
252:5,21 253:1,6 255:8,10 81:11
260:9 261:25 263:5,13,21
burden
257:11 259:7 260:5,20
cares
Carolina
12:15
261:15
255:23
196:6
burger
cancerous
carney
carondelet
224:7
252:12261:14
2:24 3:14 7:25 9:14,17,22 264:18 265:4
burned
cancers
10:4 11:6 12:5,21 13:3 16:7 carried
50:3
233:20 251:14 252:24
16:23 17:23 18:1,4,8 20:14 35:21 42:7 89:24 157:13
burning
259:4 261:10
20:15,20 21:15 22:25 23:7 159:5 187:16 236:3
151:2
cans
24:11 28:10,23 29:7,13,16 carriers
business
67:4 68:2,10 69:4 72:6
29:18,22 30:4,9,13,19,22
181:2
76:25 149:2 151:14 152:8 capable
30:24 31:2,3,6,10,13,16,19 carry
160:4 265:11
123:21
31:24 32:10,17 33:4,11,17 241:21 243:8,18
buying
capacitor
34:10,16,20 35:5 36:23 case
124:23
194:6
37:4,9,12,13 38:4,5,11,13 23:12 32:20 33:9 38:1
byphenyl
capacitors
38:19 39:22,24,25 40:10,13 100:22,22 113:10,21
142:4,13 195:3,11 198:18 149:9,10 150:19 190:16,21 40:21,25 41:1,5 42:22 46:5 119:25 120:3,4,5,6,11,12
221:10 243:17
190:25 191:3,7,12
46:8,13 47:11 48:23 53:3,8 120:13,14 135:4,9,10 136:3
c capital
cabinet 935
57:8 98:3 205:20 caption
cabinets 93:2,3
cable 21513
6:8 17:19 18:16,18 20:6,8,9 20:12,16,21 21:2 64:19,21 77:24 79:1 85:8 205:19 captions
calandra 249:15,17 250:3,13,17 254:16 256:24 258:7 259:14
calculate
79:2 carbohydrate
199:4 carbon
7:22,23 8:4,20 9:1,9,18,23
101:18 calculated
50:19 177:24 calculations
171:6
10:2,12 11:1,3,12,22 12:24 14:1,20 15:6 22:11 23:20 24:1,8 25:4,16 26:4,6,8,8 26:13,22 38:7 39:12 40:4,8 60:7,12,15,20,24 61:17
call 63:13,23 64:7,14 65:5,21
10:7 21:18 32:18 48:2 60:1 61:2 62:20 137:16 138:24 142:25 148:11 210:6 217:5
66:10,14,15,16 142:11 149:16 150:4 153:22 191:21 227:19
56:7 61:7,22 62:12 63:16
136:6,10 137:12,18 139:2
64:25 67:12,15,17,21 69:13 200:22 224:25 262:14
69:16 70:7,11,15 71:2,16 cases
72:25 73:18 75:25 78:18,23 3:16 27:3,9 28:21 46:25
79:4 84:5,12 85:24 92:11
54:24,25 55:1 123:13 124:9
92:13,21 93:14,24 94:13,15 128:12 134:20 137:23
105:17 107:7,22 108:24
138:10
114:13,21 115:1 119:6,9,18 cash
121:8,21 122:14 123:2,7
191:21 192:3
125:16,18,19,22 126:24 categorization
127:14 128:6,14,21 131:9 221:24
131:12 132:4,23 137:15 cattle
138:5,17 140:23 141:15
174:11 181:25 185:8
143:25 145:4 147:14,19,23 206:16
148:9 149:18,24 150:1
causal
151:5,18 155:12,20 157:2 29:2
157:24 158:21 160:22
causative
168:14 171:7,25 172:23
54:4 55:5
176:24 178:10,13 180:11 cause
181:10,18,21 182:2,9,17,20 2:6,15 12:14 13:8 21:9
183:4,10 188:15 191:18
23:19 26:22 37:23 43:20
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007015
[cause - close]
cause (cont.)
certainly (cont.)
chemical (cont.)
chlorodiphenyls
51:1753:1556:4,16,18
246:22 255:5,8
109:13 120:25 136:5,10
246:1,6 247:15,25
88:17 109:13 110:9 123:23 certificate
141:22 142:10 145:10
Christian
124:1 142:17 237:11 240:9 264:8
170:2 195:3,11 221:2,9
143:15
240:11,14,16251:16252:5 certify
226:5,13 241:1 249:1
chronic
253:1,4,6,9 260:7 261:10
71:8
262:11
221:21 232:20,22 233:25
caused
chairman
chemicals
Cincinnati
29:4 47:15 50:14 52:17
143:13,18 147:6,10
62:16 102:9 108:4,5 133:6 89:25
108:13 113:4 118:3 139:3 challenge
163:5 167:21,22 237:10,22 circuit
166:22 175:20 197:1 234:6 58:25 59:6,10,15
237:23 240:8
1:1 2:1,15264:2
234:6 261:4,5
challenged
chemist
circulated
causes
59:4,7,14
79:14 89:15 97:12
135:17
21:10 51:16 252:21 261:6 challenging
chicken
circumstances
causing
31:19
196:17
42:20 259:8
123:21 158:14 237:18
Chalmers
chickens
cirrhosis
260:5
27:20
196:5,13
109:8,15,17
caution
change
chief
citizen
81:10 123:7
55:22 58:16 71:22 74:21
79:18
183:12,14
cbm
75:3 76:10,23 77:1 86:15 children
city
91:3,4
157:20 159:21 247:6
132:17,24
1:1 2:1,16 79:19 80:1 264:2
cc
250:25 254:19 256:18
chloracne
claiming
22:11,12 38:7
257:8 258:11,20,23 259:17 45:18,19,25 46:4,12,25
245:1
ccn
259:20 260:21,25 261:2,3,4 47:4,6,6,22,25 48:4,12
clarification
228:8
261:20
50:14,17 52:20,21 54:8,9
218:10
cc's
changed
54:21,22 56:3,5,19 58:18 clarify
65:5 242:6 253:20,24 254:7,10 134:18 136:5,11,13,17,19 3:5 24:19 54:15 62:8 216:3
cea
254:12,18 256:5,15,17
136:22 137:11,13,18 138:2 clarifying
148:6
257:1,7,10 259:14
138:23 139:2,10,11,13
63:7
cecil
changes
140:9,15,18 198:21 239:17 classified
4:1
37:22 73:7 76:17,20 89:6 chloracnes
211:1
cell
261:12
239:23
clean
13:22 261:1
channel
chloride
54:18 60:14 74:21,25 83:21
cells
153:20
65:6
84:20,20 130:12
13:9,17,20 22:4,4 52:11 charge
chlorinated
cleaning
215:5 216:24 252:15
147:8,11 150:13 166:18
4:18,19,22,25 5:5,5,8,12,15 50:19 185:20 244:17 245:5
260:25 261:1,1
173:1 179:25 180:21
5:16,17 6:2,3,5,6,9,13,20 cleanliness
center
charges
7:3,13 10:1 15:20,20 18:24 81:15 83:11,19 84:4,10,23
164:13
264:9 265:9,10
19:2,5,14,17,20,24 20:1
86:8
centerfuge
Charlie
21:8,16,24 22:17,23 23:19 clear
215:4
143:13 147:9
23:22,23,25 24:2,2,4 25:2,3 23:2 33:23 37:14 53:10
certain
charred
25:9,15 26:3,4 36:5 39:7
63:3 73:19 214:1 244:25
2:15 3:11 6:19 12:4,6,8
53:21
46:7 47:9 53:5 59:8,9 65:10 253:4
53:6 93:23 108:5 188:20 check
65:13 82:10 93:19 98:6,6,7 clearer
certainly
3:15
98:18,19,20,20,25,25 99:4 177:6
15:9 60:11 61:23 83:6 91:7 checked
99:4,13 142:8 152:22,23 clearly
93:6,7 97:25 102:1 103:1
3:17,18 52:3 200:1
153:19,25 160:8,10,17
177:8
104:13 105:15 114:4 117:4 checking
161:1,15,16,22,24,25 162:1 clients
118:24 119:15 120:5
55:12
162:5 241:25 242:24 243:1 31:15
121:10 130:20 131:18
cheekbones
243:2,3,6 248:8
climb
137:22 155:6 156:17
139:5
chlorination
125:23
157:10 160:13 161:6
chemical
100:4 162:6
clophen
165:13 167:3 185:13,17
4:1 18:21,22 32:12 45:23 chlorine
219:3,10
193:15 194:20 198:13
46:17,20 50:7,13 51:3,7,17 5:9 6:13 93:19,20 94:19 close
199:11 200:23 206:1
52:8,1753:11,1254:1,18
99:1,5 142:6,8 159:24
16:16 46:17 90:11 224:6
211:10215:21 218:20
57:5 58:2 79:15 83:20 87:8 162:8 246:1
226:16 263:8
236:2 241:16 242:19 244:1 89:18 93:4 95:5 107:2
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007016
[closed - congress]
closed
commenced
complete
concerning
190:17,22
161:19
46:25 47:1 78:21 263:17,17 100:19
closet
commencement
completed
concerns
96:11,13
79:1
203:7
166:21 181:9 193:8,13
clothes
comment
completely
conclude
50:21 68:7 74:21,25 75:3
241:5,10,11
18:22 52:3 53:21 59:16
37:19 38:20
75:12 76:23 77:2 86:15 comments
64:13 255:6
conclusion
92:24 241:20,21 242:17,22 123:2,4
completeness
8:25 9:12 25:22,25 256:15
242:23 246:22 247:5,7,7 commerce
215:17 239:24
256:25 257:25 258:8,17,21
clothing
195:2,10
composing
258:23 259:18,20
73:3 75:19,24 76:9,11,17 commission
5:10
conclusions
84:1 133:3 241:18,19,24,24 31:5,18265:17
composition
191:15,25 228:6 257:7
242:1,5,5,13 246:11
committed
35:20
concrete
clued
79:6
compound
165:7
177:20
committee
4:24 5:9 6:9 7:6,14 10:1 concur
coagulated
143:8 144:2 147:2,7,13
15:21 16:2,6,20,24 117:22 208:5,14,17,18,18 209:9
53:21
152:5 186:13 191:25 192:7 122:15 157:3 161:15 195:3 concurred
coal
193:7 205:21 213:20
195:11 218:18
204:11,13
148:16
common
compounds
condemned
coat
72:6 91:16 107:19 113:10 11:17 53:7 81:25 99:9
176:1,3,4,6,7
165:10 170:17 244:19
communicate
100:8 120:24 124:8 141:23 condition
coated
44:9 102:18 172:14,21
154:25
10:25 11:1 21:1336:3
170:7 175:1,5
180:8,25 181:5
compounds's
48:14 64:17 68:12 94:24
coating
communicated
11:19
122:6 123:22,25 124:11
51:14,17 52:14,15 145:13 46:22 102:19
compromise
138:3 139:17 140:2 251:21
166:13,13,15,21,24 167:19 communicating
26:12
255:3
coatings
111:22 163:24
computer
conditions
130:23
communication
3:10
13:8 14:17 19:1642:8
cocktail
163:20 164:4,9,15 165:11 conceivably
53:17 54:20 55:16 66:20
24:3 65:9,11,12,15
165:17 174:7 182:16
122:3 238:14
85:22 88:24,25 93:23 94:12
code
183:21 253:4
conceive
120:23 123:23,24 255:20
163:16,17 220:25 221:10 communications
238:18
conduct
cognizant
194:9 232:1
concentrate
30:731:1741:19 122:21
185:16
communitronics
100:21 101:11 156:25
156:10 204:22
colander
2:12
concentration
conducted
185:10
companies
21:9 37:20 63:24 66:15,16 203:7
cold
27:23 95:12 194:5
73:5 82:10 87:18 89:23 conference
86:2
company
91:2 101:1 104:14 115:21
101:5
colon
1:7 2:7,18 4:1 15:18 35:22 117:6,10 119:4 120:2,21 confidential
115:13
74:9,13 78:3 79:3,15 89:18 121:25 125:9 126:11 130:8 140:22 141:5
column
96:16 107:2 116:5 124:6,22 235:22
configuration
6:4 142:16 195:24 196:19 135:13,15 141:3,6 143:8 concentrations
159:21
196:24,24 199:18 202:25
147:6,9,10 158:23 160:21
15:25 16:1,3,16,21 73:4 confined
247:10
160:24 163:5 196:16 202:6 104:5 105:12 115:15,16
63:18 96:11 133:2
columns
203:10,12,16,20 204:11
116:12 118:23,25 119:24 confirmed
257:20
220:17 226:5,13 248:18
120:18 121:7 122:10,13
36:15
combined
250:15,25 251:9 254:6
125:3,6,14 126:3 129:16 confuse
62:11 68:22,24 69:5,11
264:5 265:12
132:13 164:12,18
119:13,16
70:1071:13
compared
concern
confused
combustion
142:13
19:4 112:5 158:16,23
236:13
49:24 51:5 52:8
complain
164:24 165:2 180:9 255:3,8 confusing
comedones
243:9
concerned
188:7 202:4
239:18
complained
20:20 43:15 60:10 132:19 confusion
coming
51:11
165:5 185:16 189:16
18:15 19:7
184:25
complaints
216:18251:9
congress
52:24
195:22 196:22
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007017
[congressional - course]
congressional
constant
context
corporation
195:22 196:1 199:12 200:6 67:13,14
16:8,11 100:18 209:9 210:3 2:12 32:8 135:2 186:13
congressman
constantly
210:9,24 213:3,5
correct
194:10,14,17,21 195:8,21
67:17,18
continually
12:21 14:2,11,18,23 17:7,8
196:5,21 197:20,23 198:14 constitute
199:1
17:20 18:24 19:11,1820:6
199:24 200:4,18,24 201:21 82:14
continue
20:7 21:4 22:13 25:9 26:15
201:25 203:4 204:4,8 205:2 consulted
70:17 80:17 117:8 124:12 27:19 28:8 29:9 30:14,18
205:7
156:5
124:25 136:24 140:4,6,7
38:9 45:11 46:18 49:5,10
congressman's
consumed
151:19 153:6 155:13 159:9 49:22 50:1 52:18 56:17
203:18
234:24
continued
65:23,25 66:18 69:15 74:8
congressmen
consumers
3:1 7:20 77:25 78:5 117:11 77:25 78:16 89:11 91:18
200:12
149:22
190:16
94:17 99:7,8,25 100:5,9
conjunction
consuming
continues
102:3,4,5 118:15 127:2,4
250:5
72:13
73:6
127:17 130:24 134:24
connected
consumption
continuing
135:7 141:13,14,16,18,23
46:17
68:25 69:12 72:23
110:4 134:1
145:6 146:10,24 149:7,25
Connecticut
contact
contorting
163:14 164:17 167:10
138:13,25
28:15 31:18 82:3 131:6
122:18
177:17 178:4 180:15,17
connection
134:17 136:22 140:15
contract
181:6 184:19 186:14
77:15 112:7 121:5 122:23 173:6 174:19 247:14,22,24 59:12 75:9 173:3
190:19 192:4,5,7 193:10
194:20
248:1,5,8
contracted
195:5 202:21 221:13,16
connotation
contacts
249:5
223:3 232:3 233:13 236:25
86:11
178:7
contribute
238:12,23 246:6 259:15,16
consciousness
contain
109:10,11,15,17
263:19,20
214:19
257:25 258:7
contributes
corrected
consequence
contained
159:10
65:23 94:24
176:23
78:21 162:7 165:9 218:14 control
correctly
consequences
258:17,18
154:5,11,17 155:7 158:5,7 12:24 13:3 96:1 102:6,7
69:10 89:10 132:21
container
189:7 190:10,18
190:20 235:2
conservative
80:9
controls
correspond
248:5
containing
82:8
184:21
consider
131:22 203:8 246:1
convince
corresponding
43:9 44:6 72:21,22 75:12 contains
121:4
159:2
75:19 86:23 87:4,6,9,19
107:23 158:1
convoluted
cosmetics
88:9,13,16 92:18 93:10,12 contaminant
121:9
189:24
93:21 94:8 102:2 103:23
53:6
cooperate
cost
108:6 156:23 172:17
contaminate
174:18
106:22 171:10,12,19
190:21 199:12,12 232:25
84:1 243:17
cooperative
177:12 178:1
237:8 239:11 242:12
contaminated
187:17
cough
considerably
68:7 73:3 75:13,15 133:3 copied
216:25
187:6
165:5 173:20 177:15 196:6 228:12 231:14,15
counsel
consideration
196:13 243:20 246:11
copies
3:17 32:3 121:12 122:1
155:10
contaminating
18:1 162:23
126:18 147:9
considered
176:20 206:16,16
copy
count
76:1487:11 95:10 152:17 contamination
74:1597:12215:10216:4 125:21 199:3
212:20 213:17 252:15
68:15,17 81:12 83:24 84:18 copying
counter
considering
157:22 158:8,13 164:7
20:21
130:12
21:7
166:22 173:17 174:4,13 corner
country
considers
175:19 199:23 201:15
77:8 162:23
101:16 116:23 180:9,13
34:14
202:8 238:18
cornfeld
184:14
consistent
contemplating
2:25
counts
110:21 139:6,13 262:13
187:20
corporate
125:22
consisting
contemporaneous
143:7 144:1 147:1,6 152:4 couple
206:14
60:21
183:12,13 192:6 193:6
128:16 169:12 262:2
consists
content
202:12
course
134:5 139:7 194:24
48:2 98:14
17:15 44:7 66:5 81:4 82:4
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007018
[course - departure]
course (cont.)
customers
dated (cont.)
define (cont.)
184:20 200:20 265:10
27:21 144:21 154:8,16,22 250:12
236:24 246:16 247:2,17,22
court
155:3,6 158:4,6 159:7
dating
defined
1:1 2:1,16 24:22 32:25
178:6,16,23 179:4 184:8,10 235:19
107:4 108:14,15,16 110:23
33:24 35:1 39:1 41:11
187:8 201:18,20 202:7,16 david
112:5,10,19 160:16
42:25 69:24 70:3 71:9,10
202:17 223:13 225:21
2:20
definite
71:1280:22 120:7 121:15 cut
day
35:19 37:21 55:1 110:19
123:1 128:8 209:24 210:16 114:15 115:1
2:12 38:21,22,23,23 67:5 definitely
264:1,2
cysts
67:20 68:7,25 72:7 74:22
15:25 16:14
courtroom
139:22,23
75:3,16,25 82:11,18 101:14 definition
207:10
cytology
122:2 127:17,17,20 128:3 109:20
covered
214:20,25 216:20,22 217:1 128:24 132:10 200:10
definitive
33:22 138:5 262:1
d 205:6 207:1 245:12 246:25 122:9
covering
daily
247:23 262:2 263:10,22 degree
52:13 132:5 coving
138:8 cows
170:22 174:4 erases
3:21 crash
160:7,9,16,25 161:9 192:2 192:19,20 193:13 cream 86:2 creams
37:21 86:14 dairy
181:25 185:8 damage
8:14,20 9:3,20 13:1,23 14:22 15:9 21:9,10 22:1 121:6 225:1
265:16
8:14,22 9:15,21 12:19,22
days
13:1 21:9 22:1 137:4 180:7
6:1 7:21 12:25 13:10 15:8 degrees
15:12 38:21 122:19 128:1,2 54:23 135:6
138:6 193:7,14 262:3
delay
deal 200:21
112:23 118:14 119:23
delivered
dan 234:18
danger 96:18,22,25 234:24 236:20 236:23
dangers
120:17 180:4 dealing
53:17 81:18 84:20 185:23 death
199:10 233:16 240:22 debate
257:22 258:7,18 259:13 delivery
195:2,10 265:8 demean
198:6 demonstrated
245:4,6,8,16 credit
96:4,6,15,20 dare
71:4 251:13 debates
81:25 demyelination
91:16 criminal
128:17 dark
107:17 decernber
52:6 demyelinization
94:5 crisp
198:23 darn
50:3 criteria
230:17 263:1 cross
3:1 38:23 79:14 127:18 197:23 198:1 200:10 205:6
105:21 data
4:5 104:7 110:20 116:12 117:5,9 121:3 136:25 199:23 230:19,23 231:3 235:21 240:1 250:9
20:3 85:24,25 223:14,25 231:11 233:4,4 decide 114:22 123:12 137:24 decided 138:23 160:3 257:12 decision 4:7,9 113:11,18 191:13
51:1452:11 demyelinize
51:18 52:9 dental
189:22 deny
15:6 department
214:4 263:18 crystal
date 19:9,23 20:5 55:8 57:14
192:19 decisions
27:9 60:7 61:2 79:19 86:11 87:3,23,23 88:1,5 89:20
253:4 cubic
15:5 37:20 63:12,13 66:11 66:1867:8 82:11,19 83:4 90:7,8,10,12,13,23 94:2,8 100:21 101:2 102:2,8,14,20
108:12 111:20 116:24 124:6,25 130:17 141:13 144:16,24 145:24 146:23 150:15 152:17 153:24 156:9 162:20 164:21 175:6 189:9 192:22 193:5 194:16
60:10 decrease
158:13,13 decreased
13:12 deemed
92:16 93:8,11 101:20 111:20 134:24 135:22 138:24 150:12 163:4,7,10 163:17,22 179:23,24,24 180:22 182:12 187:12 189:11,18220:16222:23
113:8,8 cursory
234:11 custody
264:14 customer
195:4 196:21 202:9 207:14 214:17217:8 223:5 225:13 225:16226:18,25 231:9,10 232:21 234:14 249:4,24 250:2 dated
101:24 defendant
1:8,15 2:8,18,18,23 264:12 defendants
113:20 defending
228:19 232:17 233:2 248:25 departments 27:10,11 44:19 89:1 93:9 233:12 department's
150:17 151:14 152:8 186:24 187:8,17
18:5 97:10 109:4 161:20 182:1 185:12 194:7 214:14 228:7 229:18 230:12 250:4
205:2,7 define
75:16 108:17,18 128:13
153:2 154:20 departure
231:13
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007019
[depend - dissolved]
depend
detach
difference (cont.)
disagree (cont.)
43:4
239:13
111:2 112:2 123:16 141:20 198:10,11 199:14217:23
depending
detail
differences
244:11
85:19 89:3 246:22
58:22 249:4
100:16 197:3
disagreed
depends
details
different
217:9
12:2 43:14 46:19 60:23,24 11:23 25:1026:18261:17 18:7 48:11 53:11 62:2
disagreement
61:16 68:11 81:8 82:22 determine
64:13 76:12,13,14 86:12
197:15 198:10
83:2,3,18 87:21,21 105:8
22:11 38:6 41:20 42:13
103:22 104:6 105:12
disappeared
137:21 139:18 198:22
43:11 52:16 103:10 105:3 132:20 159:1 164:8 198:7 13:12
235:24 236:16 239:10
110:8 118:2 156:11 159:9 211:5 212:10215:1,14
discharged
241:3 242:17 243:25
166:15 182:19 188:17
223:17 241:16 246:19,25
188:18
246:13
199:22 201:15202:7,15
255:6 260:15
disciplinary
deposition
208:2 209:17 211:3,10
difficult
31:5,18
1:142:1028:5 30:1731:11 232:22 254:11 256:3
239:17
discipline
32:2 38:20 73:24 121:14
261:11
dilemma
245:10
127:22 128:12 134:8
determined
117:15,24 129:6,7 132:12 discontinue
135:11 177:10 200:9
3:19 10:10 13:2541:22 diminished
223:14
206:25 213:5 264:9,11
65:4 110:18 112:11 117:19 184:1
discontinued
depositions
118:3
dioxin
159:16
105:25 222:11 250:6
determining
49:21 50:1,2,4,5,6 53:6,13 discourse
depreciation
66:22 103:8 110:16 248:10 53:20,23,24,25 54:24 55:4 242:9
21:11 22:6 37:23
develop
55:12,15 56:18
discuss
dermal
119:25 120:22 152:25
dioxins
9:8 64:3,4 96:19,22 131:7
67:8,10
153:1,3,5 161:20 192:19,19 47:16
193:12 195:13221:10
dermatitis
developed
diphenyl
227:8
81:1482:3
27:13 48:4,4 51:4 54:19,19 4:18,19,22,25 5:5,6,12,16 discussed
describe
97:21,23 113:23 118:25
5:16 6:3,6,9,13 7:3,13 10:1 58:21 59:16 96:4,6 176:13
5:19 12:20 13:4 57:2,12
120:20 124:22 134:21
15:20,20 18:24 19:2,5,14
190:6 195:17 227:9 240:23
82:24 90:16 139:2 153:8,10 135:24 136:5,14 192:1
19:18,20,24 20:1 22:17,23 240:24
169:20,23 186:8
development
23:19,22,23,25 24:2,2,5 discusses
described
106:14 143:8 144:1 147:1,7 25:3,3,9,15 26:3,4 59:8,9
232:13
7:9 12:18 13:6,8 22:17
152:4
82:10 93:19 98:6,6,19,20 discussing
34:23 65:17 99:23 106:15 develops
98:25 99:4 243:1,4,5,6
165:19
137:1 151:11 185:22
109:1 112:3 123:17238:3 diphenyls
discussion
196:21
deviant
248:8
19:1,4 119:2 251:12
describes
82:22
dire
discussions
14:13 197:1
deviate
52:23
131:15,17
describing
82:25,25
direct
disease
7:13 80:13 220:25 261:16 deviated
95:24 174:19 198:18
21:12 36:3,6 39:8 40:2,6
description
82:23
211:16229:17
41:21 42:13 43:12,18,23
196:20
deviation
directed
59:21 60:13 108:22,23
descriptive
82:21 92:18
104:5 105:11
109:3,5,9,19 112:4 113:3,4
85:22 100:14 136:12
diagnose
directing
113:24,25 114:2 119:25
designations
59:23 137:22 139:10
151:21
120:20,22 122:11 123:18
222:14,16
diagnosed
direction
156:25 247:14,25 248:6,10
desire
138:10,12
224:7
248:17,25 249:2,2
57:24 70:5
diagram
directions
diseases
despite
4:17
77:1 95:20
110:1
125:1
dictated
director
disfiguring
destroy
97:15
74:13 79:21 128:9 134:23 82:3
170:9,14,18,21 243:19
dictating
137:4 141:3 183:15 208:5 dispersal
244:23
98:1
218:13 227:3 234:7
151:2
destroyed
dielectric
dirt
dispute
52:15 164:20 171:12
154:3
165:6
10:1571:5 212:16259:2
174:12
difference
disagree
dissolved
5:20 100:8,11,13,13 108:20 39:22 70:7 71:2 197:1,14
169:14 245:21
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007020
[dissolves - effect]
dissolves
document (cont.)
dr (cont.)
drugged
169:6
106:2 126:18,21 127:1,7
30:18 32:7 33:8 36:1,1,11
142:18
distilled
134:7 140:21,25 141:2,2,7 37:14 38:16,17 39:6 40:16 due
6:3
141:9,11,15,16 144:15,17 41:5,7,10,22 42:10 43:9
123:25 176:20
distilling
144:24 145:5,24 146:23
44:24 47:2 49:25 53:13 duration
6:4
147:4,15,19,24 150:7
56:24 57:6 58:20,25 64:6
87:25
distinctly
162:12,13 181:15 184:6
64:24 65:17 67:3 69:9 71:3 duties
91:1
194:1,24 196:3 199:13
71:7 72:12,22 73:22 79:9
74:13
distribute
205:19 206:14 207:2,7,13 80:12 83:9 84:13 89:19 dyphenyl
129:18 130:1
207:16,20 208:9 209:22
97:9,12,12 102:19 103:7
5:8______________________
distributed
210:3 213:2,3,8,8,9 215:7 105:10 106:13 110:7 115:6
e
115:19 118:8 126:8 129:21 220:4,14 222:6,11,25 223:2 115:8 119:19,22 124:4
earlier
130:5,23 184:15 distributers
116:10 distributing
223:13 224:19 225:6 226:5 226:13 227:12,16 228:22 229:11,18231:19234:10 235:3,9 245:23 249:7,13,14
127:6 128:8 129:1 131:15 131:21 133:23 136:7,25 141:1 144:1,6,9 148:3 151:21 160:5,6 162:7,12
22:2 53:7 73:23 100:3 107:18 110:24 121:23 185:22 193:14 219:5 early
119:12 distribution
74:2 distributor
116:21 124:23 disturbance
14:23 disturbing
249:20,24 250:2,12 262:16 262:19,23 263:1 documentation 161:10 documented 44:15 160:20 161:2,6 199:8 documents 79:5 126:25 127:3 201:16
163:20,25 164:5,9,12,24 165:11,22 174:7,15,19
198:23 earthshaking
177:8,11 182:10,11,14
131:19
183:7,14,20 184:7,24
easily
185:10,22 191:5,15,24
138:3
194:9 195:18 196:8 197:24 east
197:25 198:1,8 200:6,14,14 200:15 204:19 205:10
45:5 73:16 74:6 75:1 76:5,9 85:19,23 86:10,12,13 88:1
230:19 divided
50:9 division
30:1 79:19 148:5 163:5
234:12 235:7,11 249:5 254:5 dogs 203:10 doing
207:15 208:1,22 209:1,12 210:6 214:6,13,13216:19
88:6 92:9 94:16 220:12 233:9
217:11,22 218:4,10 222:3 easy
222:21 224:7,17 229:11,17 230:13,25 233:19 234:14
63:4 eat
186:17,23 187:11,12,15 192:10,13,16 203:22 dizziness
40:21 70:18 77:14 80:2 93:2 103:6 105:20 118:5 119:15,15 128:18 154:9
235:8 236:14 247:20 249:15 250:3,14 254:6,16 254:16,22 255:1,11 256:1
87:10 236:21 eating
74:24 226:20,21
50:14 doctor
5:7 6:25 10:3 11:8 14:8 24:1427:14 34:18 39:17 48:8 56:23 59:24,25 61:4
156:6 163:23 173:1 180:22 256:22,23 259:10,17
180:23 185:14 198:23
261:22 262:15 264:11
205:8 213:5 215:15257:14 dredged
258:24 259:18
242:18
don drink
ed 143:14 147:5
edema 199:2
edison
61:25 62:8 69:18 71:17,21 146:19
73:9,19 104:18 105:23
donohue
67:4 69:3 73:8 132:17,24 drinker
27:20 224:25 edited
106:10 107:10,17 108:22
2:24
110:6 119:17 121:22 123:7 dose
4:1,4,14 6:10,18 7:20 8:2 9:5,10 10:6,8,10,19 12:18
251:4 editor
133:18 135:20 137:1,3,6,10 22:11,16,24 23:2 38:6 50:8 13:6 17:5 18:6 21:19 23:9
83:16
139:1 140:19,24 179:15,17 50:11,18 65:5,7,7 66:2
198:4 199:17 210:7,9
doses
212:16 218:24 226:9
22:21 65:21
254:21,23,24
doubt
doctors
139:7 144:3
27:6,7 29:1 31:15 52:7
dozen
24:15 25:2,17,21,24 26:17 36:2,12 37:15 41:22 58:20 58:25 64:6 65:17 drinker's 16:1421:23 26:16 drinking
educate 154:16,22 155:3 158:4,6 204:12
educated 155:6
education
198:6 doctor's
34:20 35:6 document
139:4
68:23 133:6
dr drinks
1:14 3:3,16,20,22 4:4 6:10 22:3
6:17 7:20 8:2 9:10 10:6,7,9 dropped
154:18 159:3,4 186:24 187:8,17 232:17 educational 159:5
38:15,16 44:16,18 64:24 73:12,20,22 74:12 77:5,21 77:22 78:2,15,21,25 79:4,8 80:13 97:4,14,17 105:24
10:10,23 12:18 13:6 16:13 16:14,19 17:5 18:1021:19 21:22 23:5,9,18 24:15 25:21,24 27:5 28:4,11,14
187:4 drug
109:24 127:22 142:22 203:22
edward 224:7
effect 11:2,5,12,22,25 12:4,10
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007021
[effect - examination]
effect (cont.)
elected
enamel
error
15:13 26:24 68:22 69:6,11 204:5
169:24
101:2
70:10 71:14 142:18,22
electric
encased
eruptions
198:12,21 199:9 208:3
27:20 28:1,18 29:23,24
93:1
198:24
209:17 211:4,11 240:21
30:1 34:8,13,22 35:7,18,19 enclosed
escape
241:20,22 243:12
35:23 135:1 215:13 224:25 215:5,10 216:4
135:6 151:1
effective
electrical
enclosing
essentially
245:7
16:18 30:15 148:23 194:7 215:17
9:12 160:7,16
effectively
electrically
enclosure
establish
154:5,10,17 155:7 158:4,7 148:22
216:15
29:1 122:11 151:13 152:7
effects
elements
ends
160:23 231:2
6:19 12:14 45:20 69:1 82:2 142:10
196:24
established
82:6 95:21 98:10 107:18 elevated
england
9:10 10:3,11 24:1428:11
108:13 117:19 118:2
15:11 17:17 45:17 83:22
102:1 103:2,3 116:1,2
28:11 82:8 90:6 101:5,8
140:17 155:10,15,19,22,22 84:2 95:16 96:12 131:3,4
124:17 129:11 165:24
140:24 169:8,9 177:5
156:3,11,15 158:17,24
133:1
english
188:25 189:2 204:6 208:8
159:6 165:3 196:21,25
eliminate
74:3,3,9 91:5 102:11,23,25 213:7
199:6 200:1 203:10,11
153:22 159:18,23 175:18
106:14 121:19 136:6
establishes
225:2 232:22 233:25 240:2 182:22
253:13
44:16 112:8 113:1
240:18
eliminated
engman
establishment
efficient
191:12
231:16
230:24
239:12
eliminating
enlargement
estimate
efficiently
182:3 223:21
203:9
175:4
21:10 22:6 37:23
elimination
enter
et
effluent
183:6
119:2
1:4 2:4,17 264:5
155:1 188:24 228:23
ellenburg
entire
ethical
230:24 231:4
89:13,14
21:7 113:19
177:19
effluents
elmer
entirely
ethyl
154:5,11,17 155:7 158:5
134:23 136:4 137:1 144:17 22:13 38:8 40:3,4 43:5
22:12 23:20 24:8 38:7 65:5
effort
eloquently
53:11 65:6 76:12,13,13 european
154:10 172:21 173:3,5
183:8
123:23 200:20 215:1
219:17
194:17
else's
246:18 260:14
evaluate
efforts
10:22
entitled
239:17
175:18 176:22 184:7
emergency
69:18 70:16 210:8
eventually
187:17
87:5,6,7 246:5
environment
159:16
egg 241:15
emmet 1:14264:11
105:2 133:4 146:9,11 150:23 151:16 152:10
everybody 26:7 44:5 124:7 125:22
eggs
emphysema
153:14 154:9,14 204:10
179:12 248:7
158:14
89:5
225:1 228:4
evidence
ehlets
employed
environmental
3:19 14:23 32:14,16 33:8
147:12
33:15 34:8 88:1 140:25
158:13 159:11 163:7,9
33:12,14,18 34:5,7,12,14
eight
222:8 223:2 238:10
177:19 179:25 185:24
35:17 113:10,19 121:24
67:5,20 68:2,7 82:10,18 employee
199:20 200:1 202:8,16
122:5,22 130:16 138:19
83:7 101:14 132:10 155:13 177:20 237:25 241:17,23
225:20 229:24 250:15
150:25 204:25 227:23
either
employees
enzymes
228:1 240:10,13 254:9,17
24:1 25:17 135:21 151:1
88:10,14,20 233:13,24
73:8
254:20 258:5
152:24 158:21 163:2 164:6 234:22 236:19 237:10
episode
ex
164:9 167:15 169:13
240:7,19 243:8 244:21
56:24 57:1
31:17
219:11
245:2 248:2,9,16,24
eppenberger
exact
elaborate
employment
2:24 264:17 265:3
110:25 111:1
71:22
41:20 42:12 43:11 231:9 equate
exactly
elaborated
empty
211:11
20:19 28:19 55:8 103:17
190:7
125:25
equation
259:24
elastomer
en
118:6 211:12
examination
145:13
195:24
equipment
3:1 7:22 38:24 68:12,13
92:7,12,15,20 243:14
87:20 200:10 205:6 218:21
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007022
[examination - falsifying]
examination (cont.) 233:15 248:13 263:18
examinations 44:5
examine 45:10 88:23 197:23 198:1 200:18 214:4
examined 2:10 45:8 52:3 87:23 137:10 233:1 249:4
examining 45:8 200:6
example 82:9 212:1,18 213:6,15,22 213:24
examples 149:13
exceed 187:23,25
excellent 110:19 183:13
exception 124:20 206:11 239:14
excerpt 143:20,23,24
excessive 91:10
exchanges 37:21
exclude 35:8
excluding 34:10,11,24 35:5
excuse 88:10 172:2 199:17
executive 143:15
exercise 46:25
exhibit 3:23 18:2,11 19:1064:11 65:19 127:2 134:2,4,5 181:14214:11 216:7,15 234:13 235:18 254:15
exhibits 160:5 194:2 235:17
exist 126:6
existed 96:20,23 143:8
existence 248:17
existing 43:12 187:9 249:2
exists 161:10
expand
explore
external
62:2 148:18 153:6
232:18
239:19
expansion
explosion
extinguisher
148:7,8,17
47:15,17 48:2 49:24 52:21 93:7
expect
53:18 54:2,12,14,17 55:2,6 extra
64:17
55:8,17,25 56:20 57:4,21
20:21 144:19
expectations
58:1,5,5,12,12,13,14
extractability
115:16
exposed
179:5
expected
12:13 22:22 24:7 25:14 extreme
12:14 86:16,22 137:14
26:3,14,23 27:12 28:6
14:17
156:14,16,16
29:21 32:9,12,15 33:10,16 extremely
expense
34:9 40:8,8 42:14 43:6 47:8 16:3,22 17:4
171:13
50:8,13 54:12,14 56:20 extremities
experience
60:13 63:11 67:5 68:18
51:10,11,15
45:9 91:8 134:21 240:2
72:14 73:4 87:20 88:15 eye
experienced
91:25 109:6 115:22 116:13 91:6 152:18
24:9 51:2,13 56:5 57:3 58:1 118:7 119:1 126:11 130:8 eyes
91:21 95:3
158:24 198:25 199:1 246:5 91:2,9,12,22 92:2,4 95:9
experiencing
247:14,24 248:7,8
218:24__________________
51:24
exposing
f
experiment 7:17,20 10:24 15:4 19:8,16 22:18 23:21 25:9,11 26:17 26:18 37:6,10
experimentations 27:2
experiments
91:9 exposure
13:11,24 15:14,14 19:2 29:2 36:5 39:9 40:3,7 41:23
face 74:24 133:12
facilities 148:18
42:15,17,18,19,19 43:5,19 43:20 45:1,6,15 49:21 51:2
facility 204:1
60:2,20,21,24,25 61:6,10 fact
6:25 7:13 10:21 17:19 18:19 19:2,13 20:2 21:3
61:12,14,17 62:7,9,10,11 62:15 63:20 64:8,13,14
4:9 9:8 10:19 15:24 20:22 22:21 24:17 28:4,14 29:10
37:19 42:8 64:23 65:22 173:24 expert
67:7,9 68:24 69:3,8,11 72:5 72:10,15,21,22 73:2 81:8 87:21 88:17 89:10 92:3
29:11,15,17,20 30:25 35:6 63:2 117:9 125:1 126:17 137:7 147:20 162:7 170:15
123:12 expires
265:17 explain
6:108:19,24 11:1521:14 21:20 22:19,20,21 23:11 24:6 25:12,17,19,20 40:14
93:22 105:4 106:18 108:22 109:14 112:4,8 113:2,4 114:2 120:1 122:6,11 123:19 136:21,24 138:2 139:3,25 140:3,5,6,7 156:24 157:8,10,16 198:16 198:17 235:24,25 236:17
170:19 181:13 185:16 193:23 196:15 225:23 231:20 250:24 253:4 factories 37:24 factors 35:21
41:2 44:25 45:5,14 46:3,11 240:3 244:9 46:15,15,21,22 47:3 51:1 exposures
facts 73:1
52:8 72:24 79:2 90:9,18 101:17 132:1 133:14 141:20 155:21 169:3 213:10232:14240:19 241:13 explained
63:14 expressed
139:24 166:20 193:14 expressing
193:8 expression
fahrenheit 135:7,7
fair 24:19 37:15 218:9 219:25 250:1
falk
45:7,8 46:21 76:6,7 110:24 180:9
111:18235:19
extender
explaining
189:9,14
40:12,1345:9 112:12
extenders
181:16 234:23 236:21
189:8 190:13
explanation
extent
194:4 fall
232:11 fallacy
219:9 false
36:20 146:5 explanations
40:15
110:9 137:1 201:15
139:10 199:22
245:9 falsifying
249:18
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007023
[familiar - four]
familiar
feedback
finished
food
3:25 11:5 12:12 63:23
183:22
185:1 237:5 263:6
87:10,14 155:16 156:5
73:20,22 77:5 79:7 89:22 feeding
fire
175:17 178:8 180:6 203:8
135:9 143:7 144:10 148:2 157:14 185:4
93:6
203:21 211:8
151:10 205:18,22,23 213:7 feel
fires
force
217:3,11,15218:12242:20 56:4,18 110:7,15 117:17
190:25 191:1,2,2
54:24 56:19 224:7,8,8,12
250:24
154:13
firm
228:7,9,14,15,16,16
family
feels
2:21,24 264:14
forced
59:24,25 75:21 241:20,23 209:14
first
37:18
242:23
feet
13:7 18:11 21:5,16 23:5,14 forearms
far
63:20 243:13,14,21
25:1 35:11 45:2 56:2 59:13 67:11
3:20 60:10 82:15 122:24 fellow
68:8 76:8,24 80:7 83:15 foreman
157:17 185:15,18 189:16
38:3 113:25 244:7
85:3 87:12 93:2,3,4,5 94:18 44:14
197:6 205:5 235:19 247:6 felt
96:8 112:9 115:8,8 127:5 foremen
251:9
64:7 96:20,23 114:7 118:9 137:3 146:16 163:19
34:13
farm
female
176:23 180:18 188:6
forget
126:6
233:21
190:12 191:16 196:17
80:18,19,20 201:9
farmer
fermentation
198:11 199:17 208:24
form
125:23 169:20,23 170:4
167:22 168:16 169:4
210:23 215:5 219:1 221:2,9 8:1 42:22 48:23 56:7 61:8
171:5,8 172:8,14,19 176:21 fermenting
227:11 256:12
62:12 65:11,12,15 72:25
176:23 177:2,2,8 184:18
167:20
fish
92:21 93:14,24 115:20
farmers
field
98:11 188:17
126:10 130:7 157:2,24
125:18 172:22 173:3,6
51:21 176:19 187:10
fit
174:18208:21 218:1,17
180:8,13,25 187:9
fifth
214:19
231:23,25 232:23 239:18
farmer's
127:17,17 128:24 145:2,7 fitchu
262:22 263:2
174:21
200:10 205:6 207:1
184:24 185:10
formal
fashion
figure
five
194:20
106:25
4:17 18:24 32:22 66:17
24:15 49:2,6 70:13 75:18 format
fast
167:24
76:8 83:3,5,7 85:21 88:8
154:18
191:20
figures
120:23 131:9,13 159:23,24 formation
faster
94:25 186:20 199:22
160:14 188:15 243:8 262:3 47:16
153:14 234:16
201:14,17
fix
former
fat film
94:9 250:25
174:4 196:17
206:17
flaked
forming
fatigue
finally
167:15
15:16
48:13,16 50:15 56:5
90:6
flakes
formulation
fault
find
169:13 206:15
117:1 165:8 166:12 172:18
105:21 128:15
8:7 41:24 45:10 49:23
flaking
178:7 179:6
favor
53:22,25 56:13 84:17 103:1 125:11 167:12 181:23
formulations
265:1
103:22 106:18 117:21
186:1
206:12
fda
137:18 160:8,10 161:1
flitcraft
fort
164:21 184:21,24 185:2,5 166:23 219:12,22,23 259:4 143:19
231:16
185:11,19 187:19
finding
floor
found
feasibility
104:5 105:11 114:3 252:2 201:5 243:17 244:3
6:14 100:4 101:20 104:17
155:15
252:22 260:5,6
fluid
135:25 159:15 160:2 164:2
feasible
findings
244:13
165:16 166:14 227:4,5,6
189:3 234:4
59:1,6,8,10215:19217:19 fluids
228:4 233:19 260:18
february
218:8
149:8,11
262:13
224:9 228:24 234:18
fine
focus
foundation
235:16
11:10 92:5 122:1 133:21
237:7
124:10 140:24 144:1,2
fed
204:20 209:23 218:24
followed
four
9:22 203:8 233:20
233:2 258:15 263:12
26:1939:1341:1677:1
15:19 39:2 52:1 67:4 68:4,5
federal
finish
95:19 157:18 199:10
68:25 69:3 70:8,9,12,13,15
224:6,12
36:20,23 65:1 209:2,6
following
72:6 73:5 85:21 90:21 92:1
feed
244:20 252:9
18:1720:10209:11,11
106:24 109:3 110:22
178:8 180:6
215:12 220:24
112:17 120:23 122:19
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007024
[four - grocery]
four (cont.)
g given
going (cont.)
154:16 158:3 160:14 177:9 gain
3:21 9:17 22:16,21,23
114:16,18,19 116:2 118:7
215:13 241:17 246:4 fourth
8:9 galvanized
26:25 33:565:7,10,11,15 68:21 69:10 73:1 89:9
121:8 122:14,21 128:1 130:11,12,13 132:4,15
100:6 202:25 227:22 frame
90:17 248:20
50:20 gamut
136:18
98:13 168:7 194:13210:15 235:22 251:23 gives
133:6,12 137:15 138:5,17 148:9,17,17 149:18 153:1 153:21 156:10 159:21
frank
gas
108:21,22,25 112:4 123:18 160:1,22 172:23 176:23,24
72:11
93:6 94:25
198:16
177:9 178:6 181:15 185:1
frankly
gasoline
giving
185:19 197:16200:11
19:6 100:7 137:7 166:23
133:10 142:23,24
60:11 64:20 65:8
203:19,21 204:2 208:16,24
183:19201:3 216:3
gateway
glad
209:9 210:1,17211:2
free 71:23 222:10
265:12 gathered
205:8 gleams
212:22 213:1,3 217:19,21 218:7 219:7 228:10 232:23
french 219:11
frequent
121:4
ge 28:1 129:9 157:10
152:18 glenn
1:4 2:4,17 264:5
235:6 244:14 246:21 247:6 247:16 248:19 254:14 258:2,10 261:25 262:1
230:18
general
glove
263:5,7
frightening
27:20 28:17 29:23,23 30:1 244:24
good
197:6 198:12,13 fringe
34:8,13,22 35:7,18,19,23 gloves 52:21 86:3 136:2 137:13,17 244:22 245:18
3:3,4 8:16 59:24 64:16 68:3 105:21 113:9 154:3 175:15
76:15
137:22 138:4,12 147:9
go
183:12 189:19201:21
fringes 76:14
196:8 220:11 224:24 generated
7:25 14:6 17:18 18:11 23:8 210:18216:11 245:16 28:16 29:22 31:10,18,25 gore
front 3:23 44:24 79:22 210:8
194:17 235:8 generic
37:17 40:18 48:6 50:15 59:24 64:19 70:15 72:8
265:12 gotten
213:11 full
21:17 98:5 gentleman
78:9,13 83:5 85:6 94:24 97:24 101:18 114:14,23
70:8 127:2 government
5:13 6:24 14:6 180:21,23
225:25
128:1 133:15 138:3,22
101:6 102:15 103:13 156:5
217:6,14,25
gentlemen
146:16 152:10,21 154:8
187:17 189:12,17 203:21
fully
77:7,12 143:12 229:2
170:2 172:16 193:19
228:16 232:16 261:19,21
204:11,13 226:7 227:10 fulminating
george 214:13249:15250:3,14
194:22 197:3,5 199:16
262:8
200:9,11 202:24 209:21,23 gradual
110:4
251:24,25 252:1 256:14,23 209:25 210:13211:15
64:15
fume
257:15
214:6 215:5 218:18 220:1 gram
93:13,20,22 94:12,19
german
220:19 222:24 224:3,15
90:14,20,20
fumes
219:11
225:24 226:22 227:8,11,18 grams
17:1626:9 63:1895:16,19 germany
227:20 234:8,15 237:3,24 90:21
96:12 131:4 142:17,20,21
56:23 57:3
238:21,25 242:8 245:22 grand
142:24 169:25 170:1,1
getting
246:2,21 247:10 250:1
226:15
functional
70:22 86:5 87:14,14 125:11 253:18 254:3,11 257:18 grandchild
149:8 functions
127:15 132:6 146:7 164:25 167:21 168:25 169:1 181:9
262:15 263:4 god
255:2,13 granular
232:14
181:24 185:7,19 186:1
167:21
13:12,16
funeral
205:5 235:7 244:12
goes
granularity
226:15
gillis
82:15 136:20 230:5 238:5 13:9
funerals 30:8
furans
143:16 147:7 give
32:7 40:22,23 49:20 61:4
238:19 249:21 goggles
94:22
grasping 32:24
great
219:6,22 further
61:19 62:2,18 68:24 69:13 going 69:25 72:11 81:24 88:10,14 5:3 10:4,18 11:6 12:21
16:2,20 100:8,10,12 112:23 118:14 119:23 120:17
35:5,12 118:2 213:10 furthermore
88:22 91:16 94:25 100:24 120:25 131:1 132:14
22:25 24:11 30:4,7,10,24
180:4
31:4 33:4 34:10 35:13
greatest
123:3
149:13201:16,20 205:16
38:14 47:5,18 58:15 60:7
156:24
future
244:20 258:10 260:3
61:7 63:16 69:20 70:23 grocery
117:19 130:22
71:5,17 81:6 92:3 107:7
129:24
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007025
[grounds - householders]
grounds
happy
hearing
higher
46:13
11:10 31:23 36:24 49:20
61:24
16:1 122:3 187:6
group
60:17 62:17 63:25 64:2 hearings
highly
7:14 14:7 44:25 64:3,4
67:1 75:7,17 80:6 154:1
213:12
211:1
112:25 151:14 152:8,20
189:17258:15
hearsay
hill
177:19 184:14 232:19
harassing
197:22
163:20,24,25 164:5,9,12,15
groups
122:19
heart
165:11 174:8,15
38:2 182:24
hard
89:4 hill's
guck
84:17 90:18 182:7 202:4 heat
174:20
50:3
222:16
15:7 81:4 135:5 136:8
histories
guess
hardy
149:10 190:16,22,23 191:3 233:11
22:5 88:7 109:23 167:25
97:12
196:7
history
172:16 200:4 217:4 263:9 harm
heated
68:19 72:8 87:22 108:22
guide
8:14,22 9:2,10,17,21,25
81:11 135:6
112:4 113:3 123:18 134:21
245:24
10:11 12:17,19,22 13:2,5 heating
hoc
h
13:25 14:4 110:9
81:3 125:6
half 38:21 83:3 87:16 127:20 128:2 138:7 139:4 201:12 201 21 246 21 23 247 2
hallmark 45:19
hamer 77 ft
hart's 213:20
hazard 173:19 198:12,14221:12 228:3
hazardous 46:18
hazards
held 213:12
he'll 246:20
helmet 94:25
help 208:2 209:17 211:3,10
hand 77:8 142:16 162:22 195:24
74:19 77:25 78:4,5,15 197:6
262:20 helpful
226:16 244:17 245:5 259:13 265:16 handed
head
80:23
21:23 63:19 135:21 159:23 hem
163:4,4 182:11
147:20
12625 handful
heading 5:8 14:7 15:19 92:7,19
hep 109:23
2910
141:21 186:17 195:23
hepatitis
handle 8:5 25:4 83:20 177:22
handled 81:16 83:12 84:24 183:13 18314
handling 35:21 41:16,18 81:12
202:25 heads
135:24 health
14:1821:11 22:6 27:9,10 37:24 54:5,6 57:2 69:10 79:19 85:8,10 107:18
45:24 59:21 109:7,7,8,10 109:12,13,24,25 110:4,4 120:24,24,25 121:1 136:5 136:11 hepatitises 110:5 hepatoma
157-17 235-21 handlings
110:13,17 117:19 118:2
252:16 260:25
122:24 135:21 155:9 156:3 hepatomas
242:9
156:21 158:17,24 163:21
252:14
hands 67:11 74:23 87:13 239:12 245 12
happen 24:6 31:12 58:15 74:15
165:2 170:13 173:8,9,12,19 herbert
173:22,25 196:21,25
160:6
204:11 225:2 228:3,5
herds
232:16,17 233:8 255:21
164:3 174:11
260:6,8
hereunto
108:21 112:3 113:23 123:17 happened 59:18 172:5 177:1 193:20 happening
healthy 8:8 38:3
hear 158:21 175:24 204:25
heard
265:15 hey
137:10 hickey
139:9
91:18
23:13 40:15,16 61:23,24,24 high
happens 21:12 36:2 190:23 244:1
69:25 96:25 121:13 165:14 6:2 16:15 93:25 100:22
189:21 194:19
221:2,16,21 222:2
55:23 hold
88:8 home
75:12,20 149:24 225:15 241:19,21,23 243:8,18 honorable 198:3 hope 31:7 119:14 hopelessly 33:6 hoping 80:20 hot 63:6 91:1 92:1 94:21 96:13 125:8 hour 67:5 75:25 82:10,18 83:3 87:16 101:14 122:2 132:6 246:21,23 247:2 hourly 237:9 240:7 hours 37:20 67:20 68:7 83:7 132:10 227:1,1 262:2 263:18 hour's 138:7 house 3:17 144:19,19,19 household 118:25 119:20 129:11,18 129:19 130:25 132:15,19 132:24 householder 130:17,19 householders 115:19 118:8 119:12,16 126:9 129:21,22 130:1,6
246:25
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007026
[households - information]
households
idea
inactive
115:25 119:7,7,8
10:21 76:21 141:5 169:2
233:13
housekeeping
189:13 190:14246:18
inadequate
47:1 141:21
identified
189:7 190:9
howard
33:6 inadvisable
98:12 224:21
identify
87:11
human
73:12 77:21 79:7 97:4,6 inch
107:18 155:9 156:21 165:2 135:12 137:14 144:15
127:3
173:8,9,12,21,25 196:20
146:16 147:4,15,15,17,19 inches
204:11 208:3 209:17 211:4 147:20 194:1,24 214:11
90:12,12
240:2,18,21 255:20
225:6,12 227:12,15 237:22 include
humans
245:22,23
33:21 99:10 109:21 163:21
110:9 178:8 180:6 198:13 illinois
186:25 187:7 245:7
239:17 240:11,22 241:16
45:5 74:7 88:2,6
included
hundred
illness
34:17 109:20
49:3,7 83:5,6
53:15,18 87:2 124:2,2
includes
hunk
illnesses
163:22 187:1 245:10
53:22
72:7 including
hurt
imagine
32:10 65:21 99:11 232:3
251:20
142:25 167:14 170:12
240:22
hurting
178:24
inconsistent
13:19,22
imaging
255:24 260:1
husch
255:2,7
incorporated
2:24 264:17 265:3
immediately
67:22 97:17 145:11
hyaline
84:25 242:6
increase
13:16
impact
13:8 158:10 159:3,4
hydraulic
255:15
increased
149:11
impenetrable
100:4 158:16,22 199:3
hydrocarbon
245:8
indemnify
46:7 65:10,14 153:19
imperative
224:25
hydrocarbons
16:1
independent
6:20 21:8,17,24 36:5 39:7 implicate
19:22 261:22
47:9 53:5 152:22,23 241:25 55:18
independently
hydrogen
implicated
97:21,22
142:11
53:14 54:4 55:16
indiana
hygiene
implication
2:22 60:6 62:25 76:20,23
79:18 80:1,3 135:21 137:5 260:3
135:10,12,17,22 136:10
245:25
implied
indicate
hygienic
251:3
10:10 52:5 210:25 240:2
245:24
implying
257:6,9
hygienist
213:25 259:19
indicated
111:17
important
3:18 26:21 78:19 176:25
hygienists
93:8 101:24 166:15 167:2 186:16 187:20 200:10
82:7 101:6 102:16
179:1,22 184:19211:9
249:17 263:14,17
hypothesis
importantly
indicates
22:10 36:12,13,14,16 38:6 243:20
9:19 12:25 14:4 136:20
65:4
impression
190:6 260:6,8
hypothetical
63:5 231:13
indicating
120:5,14
improper
8:22 252:2,2 254:15
i
ibt 203:15,25 249:5,6,18 250:14,25 256:8 257:12 261:23 262:1,9,13
ice 148:16
69:17,23,23 70:1 200:13,20 indication
204:17,21 213:24 214:5
14:22 91:22 136:23 140:2
improperly
indictment
204:21
261:24
impurities
individual
56:21
11:19 12:13,1521:11 32:8
35:18 36:2,6 37:8,11 73:2
individual (cont.) 108:21 112:3 113:23 114:3 123:17 138:2
individually 33:17
individuals 26:3 39:8 41:16 51:1 54:23 116:13 162:22,25 213:11 213:13,19214:2 248:12
individual's 87:13
indoor 96:5,7,10,15,18,20,23,25
industrial 79:18,25 80:3 82:7 101:6 102:16 104:7,9 105:13 106:16 108:4,4 111:17 115:14 119:8 120:20 124:7 124:20 125:1 132:20 133:4 133:6 135:21,25 137:4,5 138:14,24 158:24,25 189:6 190:1,4,9 199:11 239:23 241:1 245:25 248:13
industry 16:2,18,20 27:20 64:14,18 83:20 119:25 144:22 149:17,20,21,23 215:13
inerteen 236:3 238:1,2,5,6 240:9,17 241:18 242:13,18 243:8,10 243:11,14 244:19,21,23 245:20
infected 139:23
infectious 109:7,23 121:1
infer 213:23
inflammability 154:2
inflammatory 123:4 204:17
inform 111:4,9261:19
information 4:8,11 35:22 41:22 42:5,6 57:24 62:18 97:17,20 100:23,24 102:19 111:5,6 122:9 131:16 132:8 157:11 157:12 164:4 168:7 169:10 179:21 180:4 181:13 182:25 183:20 194:13 208:2 209:14,16 210:5,6,23 211:3,10217:18218:12,14 242:10 246:4 251:23 262:23
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007027
[informations - jump]
informations
installation
interteen
italian
64:9
191:14
234:23 236:19,22 237:11
219:11
informed
instance
237:18,22
itemization
35:20 59:20 60:6 66:8
14:10
intervals
151:23
ingested
instances
7:21 87:24
itemizations
100:16
38:1 161:18256:24
interview
156:20
ingestion
institute
29:23 31:14
itemized
156:4 221:15
52:2,7 232:15 259:7 261:16 interviewed
151:11
ingredient
instruct
29:24
items
116:18
69:16,21 70:20
intoxication
155:9,12211:7 212:15
inhalation
instructions
7:7 17:19 18:18 19:1621:3 71:20 237:1
24:7 64:15,23 65:22,24 insult
100:19 136:21 142:16,20
22:7 64:17
95:18 introduce
152:15 153:3 introduced
jag 142:24
j
157:13 221:19 240:3 inhale
21:24,25 26:9 45:17 83:2 142:24 inhaled 21:8 22:16 37:20 66:4
insurance 181:2
integral 145:11
intelligent 127:24
159:6 195:7 212:1,19 213:16 introduction 195:2,2,10,10 investigate 117:18
22421 japan
226:16,19 japanese
226 18 21
inhaling 65:8 87:17
intended 26:10
investigated 60:4
25722
inhibition 199:4
initial 213:12
intention 223:14
intentional 108:25
investigation 51:20 196:9
invite 210:9
225 jersey
7916
initially 131:21
intentionally 119:15
invited 213:13,19228:18
105:21 238:3,16,17
injection 66:1 238:7 240:3
injure 36:5
interagency 224:6,12
interdepartment 228:9
involve
14712
233:11 involved
jonnson 14618
16:24 17:16 172:17 184:16
injured 39:9,12 41:17
interdepartmental 228:6,14,15
193:16 224:13 262:14 involvement
3020
injury 21:13 26:20 36:4 39:14
interest 137:21
124:1 224:11,14 235:12 irrelevant
QQ-1P
40:7 41:23 44:7 136:24 140:3,9,11,13 239:21 inner
interested 204:10,24
interesting
123:2 irrespective
61:6
49:12,17 50:16 51:2,5,10 51 13 24 56 6
238:4 244:9
212:8
inside
interior
21:18,22 28:13 32:19,21
165:7,10
84:13 116:13 117:1 125:17 interjecting
167:22 170:7 171:15
123:3
174:20 191:7 204:3,6
internally
irritant 239:11
irritants 239:10
irritated 92:2 127:15
83:17 135:16,17
Jr 89:17 249:15
Jl . &
224:7
insignificant 136:1 254:18
26:10,10 133:4 interoffice
irritating 91:2,6,17
200 22 207 11
insisted 76:6 81:16 83:11 84:23
insistence 256:10,12,17 257:17
232:1 interpret
84:10,17 interpretation
irritation 91:9,12,21 92:4 94:23 95:4 95:8,13,17,20
irvin
122:6 judy
38
insoluble 245:6
inspired 82:1
84:16 interrupted
65:1 interrupting
2:14 issue
26:2 74:25 224:8 issued
19:8,1720:2 141:13 195:4 196:22 200:3 202:9 204:7 250:4 256:13,14,23 258:20
209:6
16:5 17:13 181:8
78:14
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007028
[june - lavinskas]
june
kelly's
know (cont.)
knowledge
1:162:11 127:19,19,19,19 3:16 40:16 204:19
106:10,19 107:3 109:18
29:3 34:18 35:17,19 92:16
juries
kettering
110:22,25 111:1,16,18,19 98:2 107:19 143:24 160:20
112:22,24 113:3,13 118:13 52:1,7 89:24 97:24 103:12 112:6,9,14,18,20,21 113:15 167:25 168:7,11,15,23
119:2,23 120:17 123:12
106:22
115:21 116:1,9,19,20,24
178:22 195:6 196:12
jury key
117:5,12,12 118:6,9 119:1 197:24 201:19 222:11
12:20 13:4 21:14,21 22:19 72:19
119:3,14 122:22 123:11
225:18,22,23 226:17
24:6 25:13 38:10 40:22,23 kidneys
124:16,19,21,23,24 125:16 232:21
42:10 62:23 63:5,8 90:9,16 199:7
125:20 126:10,13,14,14 knowledgeable
90:19 101:17 112:25 113:7 kill
127:23,23 128:1 129:8,12 34:6,6 165:9,13,16 182:11
113:9 114:1,5 118:9 119:4 22:3 158:15 240:20
129:15,19,21 130:7,19,21 known
119:13 121:5,23 122:5,12 killer
130:22 131:20 132:12,14
120:1,21 195:3,11 224:2
122:20 123:4,24 124:3
46:20
134:20 137:8 138:16 139:8 247:13 248:6,10,17
128:13 141:20 182:14
kilogram
140:21 141:9 142:19,22,23 knows
186:8 200:22 204:24 207:8 22:12 38:8 65:6
143:14,23 144:5,18,22,23 72:10 123:4 167:21 183:16
207:10,12 209:15 210:15 kimbrough
145:16,18 146:3,5 148:20 koeman
213:4,22 232:14 236:13
214:13 216:6 233:19 252:6 148:23 150:1,3 152:25,25 217:4
256:3 263:15
kind
153:20,24 154:19,25
kountz
jury's
64:12,14 210:5
155:14,19 157:8,9,16,25
146:17
94:15 205:9
kingdom
159:20,22 160:25 161:19 krummrich
justified
74:10
162:10 166:4,11,13,13,20 73:15,15 74:6,20 75:5
117:17 118:1 132:3
kingshighway
166:23 167:9,13 168:1,3,9 85:18 92:10,22 93:15,16,17
k 2:13
168:12 169:9 170:25 171:2 94:13,14 95:3 104:8,17
katayama
knew
171:4,8,19 172:4,5,7,8,10 kuhn
226:2 keep
26:1,1,11,14,17,19,21 27:1 27:22,23,24 28:6,6,14 29:1
172:11,11,13,23 173:7
146:17
174:1,5,11,14 175:3 176:2 kulifay
15:8 16:3,21 32:11 114:16 29:20 30:12 32:9,15,19,22 176:8,9,12 177:1,3,5,6,8,24 77:8_____________________
114:19
33:9,12,15,17 34:8 35:7
178:2,13,17,18,19,21,23
I
kelly
42:9 43:16 52:10 79:25
180:7 181:1,3,13 182:9,25 labels
1:14 3:3,20,22 10:9,23
108:12 125:2,2,5,7 128:10 183:15 184:1,11,12,16
76:3
16:13,19 18:1023:5,18
132:9,11 152:1 157:8,15,18 185:9,20 187:1,2,5,11
labor
27:5 28:4,11,14 32:7 33:8
161:9,11 168:4 173:23
188:4,21,24 189:21,25
27:10
36:1 38:16,17 39:6 41:5,7 41:10 42:10 43:9 44:24
179:12 181:4 184:24 186:3 know
190:12 193:15,15 196:18 laboratories
197:21,22,25 199:7,14
89:24
47:2 49:25 53:13 64:24 67:3 69:9 71:3,7 72:12,22
11:7 12:2,10,17 15:15,17 16:10 17:3 19:6 20:22 23:7
200:8,11,11 201:4,8 202:10 202:22 203:22 204:15
laboratory 81:2 97:23
103:12
106:22
73:22 79:9 80:12 83:9 84:13 105:10 115:6 119:19 119:22 124:4 127:6 128:8 129:1 131:21 133:23 136:25 141:1 144:1,6,9 148:3 151:21 160:5 162:7
23:8,11,14 24:3,13,20 25:21,24 26:17 27:12,15,17 27:25 28:5,9 30:2,6,10,20 31:25 32:20,22 33:11,13,19 34:5,16 35:8,24 38:24 42:15 43:22,24 44:1 47:5
205:4,8,24 207:2,9 208:7,9 211:4,25 213:14214:3,15 214:21 215:15,20,21,23
259:18 laland
30:18
216:1,16 217:20 218:7,8,20 220:10 222:7,9,12,14,14,15
lapse 19:12
222:19,20,22 223:6,16,18 large
162:12 164:24 177:8,11
48:25 49:1,7,15,25 50:2,6,6 223:23,25 224:14,22 225:5 38:2 96:9 100:14 157:11,15
182:11,14,14 183:7,14,20
50:7,8,11,22 51:19 53:23
225:24 226:6,8,12 228:8,13 239:18
184:7 185:22 191:5,15,24 194:9 195:18 196:8 197:24
55:7 56:25 57:6,14,19,21 57:22 58:3,5 60:18 62:15
228:17,18,20 229:10 231:5 231:21,22 232:6,7,10 233:2
larger 157:15
198:8 200:7,14,14,15
63:18,20 66:14,17,21 68:13 233:3,23 234:2,7 235:1,23 lasting
205:10 207:15 208:22
69:21,23,23 70:1,16 74:14 235:24,25 236:2,17,21
52:25
209:1,12 210:7 214:6
75:10,23 76:24 77:6,7,10
237:18 238:15 240:16
late
216:19217:11,22 218:4,10 77:12,14,15,18 78:4,19
245:19 249:19,25 252:1,23 117:24 263:9
222:3,21 224:17 229:11,17 79:5,8,24 83:14 84:6 85:2
253:16,17 254:1,18 256:11 lately
230:13,25 231:16 234:14
88:8 89:13,17,20 91:4,5
256:16 257:10 260:1 262:2 8:17
235:8 236:14 247:20 254:6 254:22 255:1,11 256:1,22
93:8 96:13,14 97:18 99:11 262:4,5,22,24 263:15 100:20,25 101:3,7 102:10 knowing
laundering 75:24 241:23
259:10,17 261:22 262:15 264:11
102:24 103:5,9,17,24,25 104:7,10,12 105:8 106:7,9
42:16 43:6 104:1 129:16,16 lavinskas 250:14 251:7,24 254:16
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007029
[lavinskas - lost]
lavinskas (cont.)
letter (cont.)
limit (cont.)
livers
256:14,18,23 258:11,20
109:4 110:7 111:15,23
108:17,18 110:23,25 111:1 251:16
law
113:16 115:7 116:25
112:19 164:22
living
2:21,24 230:1
121:11 122:9 124:5,13
limitation
233:12
lawsuit
128:9,20 130:17 131:7
198:16
local
16:25 30:20
132:5 135:1 137:2,19 160:6 limited
140:15 221:13,21 238:19
lawyer
160:12 161:20,23 163:13
140:17
localized
113:15 147:12 163:8,9
165:18,19,21,22 176:12 limits
252:15
177:18
185:12 193:8 194:4 214:13 89:23
locate
lay
214:24 224:20 225:10,25 line
173:6 190:1 258:13
158:14,14
226:24 228:11 229:22
63:6 79:13 98:24 99:2,2 location
leach
234:18 238:22 249:14
191:16 207:20,20,24
238:4
167:18
250:3,13 254:3,16 256:13 210:18
locations
leached
256:17,23 257:6 258:10,20 lines
188:20
167:16
letters
98:23
locker
leaches
62:24 98:3 108:11 161:3 lipa
92:25 93:1
169:4
205:21 234:2 235:17
265:12
london
leaching
level
liquid
74:9 77:11 97:9,10,13
151:2 167:12 168:17
16:4 17:4 64:7 66:15 91:23 80:8 240:4 243:21
long
181:24 186:2 206:15
93:25 94:11,20 95:1 102:16 list
16:8 52:25 67:19 72:5
lead 103:2 108:15 111:7 112:10 3:15,18 50:15 74:2 141:22 82:22,25 134:21 155:15,19
95:13,18 134:17 243:20
112:20 113:2 156:19
151:7 225:20 228:4
155:21,22 156:3,11,15
leading
187:20 188:1 236:17
listed
165:17 173:24 185:4
199:10
levels
15:19 19:15 143:12219:14 198:22 208:2 209:17 211:3
leak
16:22 66:8,9,21,23 90:3 listen
211:11 229:9 235:11
92:1,4 93:20 94:3,7,10
91:10,22 93:22 103:11,23 71:14,16
243:12 263:10
146:9,10
103:23 104:3,9,16 105:3 literally
longer
leaks
110:11,16,17 111:11,24
239:12
87:24 189:15
91:18 190:24 191:3,3 196:7 112:5,10,21 117:6,10 118:3 literature
look
leans
121:24 122:3 132:9 156:18 96:16 111:8,21 137:25
4:245:3 11:1047:1756:14
238:17
187:23,25 188:17,24 228:4 219:15 242:21 243:6
59:15,23 63:25 65:3 66:19
leather
229:5
litigation
97:24 126:20,21 137:24
243:12,15
levinskas
124:9
138:22 139:11,12 166:2
leaves
214:13216:6 231:17250:3 little
172:8 176:21 182:2 188:12
244:14
liability
73:23 81:17 108:6 114:16 191:9 209:10215:4 252:21
leaving
181:2
159:1 188:7 219:13 234:16 253:18
112:12
liable
263:9
looking
left
45:18,23
liver
88:24 89:4,4,5,6 125:9
76:16 80:12 81:13 195:24 liberal
8:14,19 9:20,25 13:1,5,9,17 161:24,25 174:4 188:9
229:10 233:5 238:4 249:10 115:17245:10
13:19,22 14:1,22 15:9
212:9 215:2 216:24 217:1
249:12
liberties
21:10,12 22:1,2,4,4,19,24 219:10 220:14 258:3 259:4
legal
16:4 23:19 24:9 25:6,8,14 26:5 261:13
175:9 176:17,18 177:21,22 libido
26:23 27:3,8,13 28:21 29:4 looks
179:23
48:20 49:5,8,10 50:14,16
36:3,6 37:21,25 39:8,12,15 20:22 146:6 194:5 239:14
legibility
56:6 240:14
40:2,6 41:21 42:13 43:12 lose
162:15
lie
43:18,22 44:7 59:20 60:3
191:18
legs
160:13
60:13 73:7 108:21,23 109:3 loses
67:11,15,1868:7
life
109:5,8,9,19,22 110:1,2,3 52:14,14
length
59:2 132:10 139:19,24
112:3,6 113:3,4,24,25
loss
138:6
243:19
114:2 119:25 120:20,22
48:20 49:1,2,3,5,6,7,10
lesions
lifetime
121:1 122:11 123:18 199:9 50:14,16 56:5 151:15 152:9
218:19
101:14
203:9 233:20 239:21
170:24 171:5 172:8 199:2
letter
light
247:13,25 248:6,10,17,25 240:14
83:16 97:9,21 98:3 99:19
263:15
249:2,2 252:6,15,17 255:3 lost
102:12 103:5,25 104:2,12 limit
260:25 261:1,1,2,3,4,12
107:11 205:14
105:9 106:15 108:9,10
70:22 101:13 107:4 108:13
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007030
[lot - mccrea]
lot
mailed
march (cont.)
maximum (cont.)
50:22 53:10 89:5 106:8,8
257:21 258:17
164:21 165:9 166:8 167:9 122:10,13 125:2,5,9,13
132:18 137:23 169:25
mailing
173:23 174:8 183:8,21
126:2 132:13 235:21
181:11 182:21 196:2
163:16
184:3 185:13 193:7 226:16 mcc
203:22 208:1 209:16 210:5 main
229:18 230:12
89:20 106:25
210:6,23 211:2 215:19
108:20 112:2 113:23,24 mark
mccrea
217:24 226:20
123:15,16 150:18
165:4
2:21,21,21 3:2,4,4,15,22
lots
maintain
marked
8:6 9:16,19,24 10:9 11:11
79:5 93:4 127:5 180:22
174:7
141:5
12:8,23 13:4 16:13 17:1,24
182:23 261:5
maintained
market
18:3,7,9 20:15,24 21:20
loud
19:16 186:23
116:16 117:8 124:12 125:1 23:4,18 24:22 25:7 28:19
197:8,14
majority
151:15 152:9,16,21 153:4 28:25 29:12,15,17,19,25
louis
110:5 239:22
marketed
30:5,12,17,22 31:1,3,8,12
1:1,27 2:1,13,16,25 45:5 making
116:20,20 119:19 124:19
31:14,17,22,23 32:3,7,14
57:16 73:16 74:6 75:1 76:5 7:16 24:16 27:15 30:13
124:21 125:4,5
32:25 33:8,14,24 34:7,14
76:9 79:20 85:19,23 86:10 54:17 99:6 104:11 199:13 marketing
34:19 35:1,10 36:1 37:1,7
86:12,13 88:1,6 92:10
200:5,17 204:16,18,23
117:12,13 129:13 144:10
37:12,17 38:9,12,18,25
94:16 96:4 220:12 233:9 males
146:19 150:13 165:20,25
39:6,16,20,24 40:2,10,12
264:2,19 265:5,14
233:22
178:17 179:24 189:16
40:19,25 41:4,8,10 42:15
low
malignancies
marking
42:25 43:9 46:7,10,18
15:25 16:3,22 17:4 189:3,4 109:22
176:7
47:10,13,19 49:4 53:5,13
lower
malignant
marshall
54:1556:1258:8,1661:11
108:7 199:3
260:19
77:9,13
61:21 62:7 63:1,3 64:6
lubricants
man
mask
67:14,16,20,22 69:15 70:2
149:14
43:5 60:2 61:3 74:8 85:4
93:6 94:25
70:10,13,24 71:8 72:3,12
ludicrous
89:7,21 106:13,14 118:7 mason
73:21 76:1,4 78:6,21,22,24
32:23
122:3 128:16 129:12,12,13 187:14
79:9 80:6,10,12,23 84:9,15
lump
142:25 163:7 166:18,19 master's
85:6,25 92:12,18,23 93:17
148:16
172:24 177:4 179:25
137:4
94:1,14,17 95:2 105:23
lunch
180:20 219:23 244:12
matches
106:12 107:13,17,25 108:8
87:16 114:22 133:19,22
246:21 247:3,6
20:8 133:10,11
109:2 110:24 114:24 115:4
134:1 194:20 246:21
management
material
115:6 118:18,22 119:8,14
lung
186:13 192:7 193:6
6:15 13:13,17 15:3 19:17
119:17,21 120:7,16 121:15
88:10,11,15,20 89:8
manager
25:1,1 35:20 45:17 48:2
122:8 123:1,14 125:18,21
lungs
60:1 104:19220:13250:14 52:22 53:20 64:16 80:9
126:1 127:6,15 128:4,7,15
88:18 95:6_______________ managers
81:12,16,19 83:2,12,23
128:19,21 129:1 131:14
m 150:12 163:2
m.d. 4:1
mac 101:21 103:2
machine
manner 70:4 100:15 157:20,21,25
man's 180:23
manufacture
89:2 macs
101:16 112:23 113:11,14 113:18 118:14 120:18 122:21 132:18
15:18 26:7 32:13 63:23 74:20 87:10 manufactured 26:8 170:16 manufacturer
magnetic 255:1,7
maig 137:5
maigs
166:14,16,21,24 170:17 manufacturers
194:7 manufacturing
28:2 44:8,21 52:22 54:2
136:7 137:19 138:11,11,18 57:4 62:17 64:3 66:24
138:20,21,22 mail
257:24
191:5 220:11,12,17 march
144:16 145:1 162:21
84:2,21,24 85:14 86:4 87:13,15,17 98:9 101:12,13 104:12 110:12 125:7 129:7 135:6 145:12 157:9,11 158:10 164:14 167:12 168:25 169:14 190:18 211:9 212:1,19213:15 226:20,21 240:4 245:21 251:5,15,15 262:25 materials 6:6 221:1 244:18 259:3 matter 21:7 matters 183:1 maximum 63:24 66:15 73:5 82:9 87:17 100:21 101:1,10 104:14 118:22,24 119:3,24 120:1,18,21 121:6,25
132:11 133:7,21,23 138:1 138:14 139:1 141:1,17,19 144:9 145:6,8 147:17,22,24 148:20 149:22,25 150:5 151:6,21 155:18,24 158:2 158:22 160:25 168:16,19 169:3 171:10 172:2 173:2 177:11 178:15 180:12,15 181:11,17,20,23 182:5,7,13 182:18 183:3,5,18 188:16 191:22,24 194:1 197:8,13 197:18 198:8 200:15,21 201:1,6,9 202:6,21,24 203:6 204:9,15 205:2,6,10 205:18 206:21,24 207:4,7 207:15,23,25 208:11,14,22 209:4,12,21 210:11,13 211:15,21,24 212:4,16,24 213:22 214:6 216:16,18 218:3,23 221:5,7,9 222:19
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007031
[mccrea - mistake]
mccrea (cont.)
meant (cont.)
men
milligrams (cont.)
223:3,7 225:12 226:14
216:1 222:13,15 236:24
50:19 86:16 136:1
91:3,7 94:1,8 101:2,6,7
228:13,21 229:15,17
measured
mention
102:8,14,20,24 113:8
230:13 234:17 235:4,14
66:8
36:11 136:4 197:3,4 215:22 milliliter
236:9,14 237:24 238:12,21 mechanism
216:8
101:3
242:16,20,25 244:25 245:3 51:12 53:23
mentioned
million
247:20 248:21 249:3,7
medical
52:24 63:4,17 120:23 163:1 149:4,5,12 164:13,14,19,20
252:10,13 253:7,9 254:2,4 11:1642:6 49:1961:2
182:5 215:11 216:5 237:10 173:13 187:5,21 188:3
254:11,21 255:14,19 256:3 62:17 64:3 66:25 72:8
237:14 240:8
241:3
257:3 258:6 259:22 260:4 74:13 75:6,11 76:11 79:21 metabolism
minckler
260:10,13,16 262:4 263:11 87:20 107:19 111:8,20,21
199:4
163:4 183:22 187:14 192:6
263:20,23
113:20 122:6 128:9 134:24 meter
193:10
mcc's
135:16,17 138:24 141:2
15:5 37:20 63:12,13 66:11 mind
106:24
143:1 154:20 156:2 163:22 66:18 67:8 82:11,19 83:5
21:18 28:13 32:19,21 48:9
mccutchan
179:15,19 180:5,7,21
90:7,8,10,12,13,23 94:2,8 48:10 62:23 84:13 107:9
222:20
182:12 183:15 187:12
100:21 101:3 102:2,8,14,20 113:9 131:20 204:4,6
mcgraw
208:5 218:13 222:23 227:2 113:8,8
mine
27:20 224:25
228:19 233:12 234:7 246:4 method
188:12,15 193:22 212:3,6,7
mean
medication
53:24
218:25 233:6
5:23 10:6 19:6 23:11 33:19 12:10,11
methods
minimal
33:20,20 55:7,18 59:2
medications
55:12
151:16 152:10
62:15,21 75:16 78:6 84:19 12:4,6,12
mg
minute
84:24 90:7,11 91:4 94:3 medicinal
37:20
20:11 64:25 114:14 115:3
97:18,19,23 99:11,13
189:20
mgm
127:11 209:5
100:10 101:11 102:4
medicine
100:22 102:2
minutes
103:16 105:6,16 107:23,24 51:21 124:7
michigan
75:7 79:10 83:3,3,8 86:15
108:23 109:2,7,9 111:15 medium
116:22
92:1 131:10,13 143:21,23
112:10,12,13 113:6,22
135:5
microscope
143:24 144:6 147:16,21
117:2 118:21 124:14
meeting
217:2
148:12 151:5 160:15,21,24
136:14 140:16 143:23
57:20 144:4,8 148:11 152:5 microscopic
161:2 186:12 193:6 228:23
149:20,24 153:10 155:3,21 152:14 186:12,16 190:5
255:9
263:14
157:25 175:10 176:3,14
192:22 193:6 195:16
mid
mischaracterization
186:4 195:15 197:19
205:21 228:23 232:13
224:9
202:3
202:10,11 216:1,22 220:1
236:19
middle
mischaracterized
223:24 232:24 235:1
meetings
92:8 114:15 115:2 133:24 23:1 24:12 53:9
236:16 237:13 246:13,14
44:11,20,21 195:13,16
199:18209:7 210:2 211:19 mischaracterizes
247:23 249:7,8,25 252:12 234:22
220:22
259:20
252:13,20 256:4 259:24 melting
mild
mislabeled
260:17 261:8 263:12
80:8 81:8
136:17 137:18
19:13
meaning
member
mildest
misleading
126:8
192:12,15 194:5
139:2
213:4,22
means
members
mile
misplaced
9:24 11:17 17:3 21:21 22:5 163:22
247:8
192:25
36:4 40:3 52:11,13 83:14 membranes
milk
misprint
83:19 84:14,17 85:2 86:5
95:6
164:3,19,20,25 165:5
201:24
86:11 101:12 128:20
memo
166:22 169:1 170:23
misquote
148:16,17 150:22 200:19
98:13,14 122:17 172:24
173:15,17,17,18,19 175:12 37:12
210:6 214:22 215:3,20
177:3 214:4 264:1
175:16,19,24 177:15 179:3 misread
221:13,15 223:16 252:14 memoranda
181:9,25 185:7,17 186:1
108:24
260:18 261:9
161:3
187:21,25 193:9 206:16 missouri
meant
memorandum
milligram
1:2 2:2,13,15,16,25 57:16
10:8 17:10 104:1 105:19
97:11 162:18,20 166:8
82:11,18 83:4 90:7,13,19
59:24 79:20 264:3 265:14
106:10,15,20 109:5 126:15 176:13 178:23 231:25
90:23
misstatements
127:12 128:11,13,16,25 memory
milligrams
30:13
129:4 142:22 146:3 148:7 3:21 79:6 129:2 223:20
15:4 63:12,1266:11,18 mistake
148:12 150:13214:21
67:8 83:5,5,6,6 90:6,19
24:16
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007032
[misunderstood - noticed]
misunderstood
monsanto (cont.)
nci
131:25
207:3 214:14,20,25 216:19 259:7
mitsubishi
218:13219:18,21 222:8,10 ncr
226:6,13
224:23,25 225:1 226:5,6,7 191:16 192:2
mix 226:12,13 227:3 228:16,17 necessarily
189:14
229:23 230:25 231:10,23
137:13 140:16
mixed
231:24 232:19 233:23
necessary
24:4
235:8 237:4 238:11 239:1
154:13 199:22 201:14
mixing
248:2,18 249:6 250:15
207:16 209:14
119:9
251:11 254:12 255:19,23 necessity
mixture
256:10 261:19,22 264:5
125:8
5:16 8:4 15:19 25:4
monsanto's
necrotic
ml 44:19 122:12 149:2 205:19 52:12
100:21
224:11,14 225:20
need
mo
months
23:14 40:14,14 77:1 80:10
1:27 264:19 265:5
58:15 101:20 160:14,14
81:23 86:8 93:3,20 103:7
mode
254:5
103:11,13 114:19 154:16
241:15
moody
154:22,23 155:5,6 156:25
moderate
141:11
158:4,6 180:4 205:17
221:1
morning
207:18 210:23 215:23
molloy
3:3,4 22:4
217:18
141:11
mouth
needed
mom
64:16,21 65:9 66:2
208:2 209:17 211:3,10
129:10
move
needles
moment
177:10
109:24
251:2
moves
needs
money
23:12
71:22
110:8,15 117:17,21 118:1,4 mr.mccrea
negative
177:12
211:14
101:19 252:22
monsanto
mueller
neglected
1:7 2:7,17 3:16,17,25 4:6
143:17
36:11
4:126:11 10:15 15:18 17:6 multipage
negotiated
25:24 26:1,2 32:10 33:19
228:11
75:4,6
33:21 34:12 35:8 39:6
n neighbor
43:1344:8 52:16 59:11 63:22 64:2 66:14 68:19 74:5,13 78:3,20 79:3,5,21 85:13,22 86:9 88:19 89:17 92:10 98:1,5 104:8,21
name 31:1 32:7 33:5 74:1 98:5 141:8 166:15 186:17 190:11 223:17 264:14
names
175:15 neither
262:9 neopreen
245:18
107:2,20 116:5,9,10 121:4 122:9 124:6,15,16,17,17,22
32:12 77:13 141:10 146:20 201:18,20 214:3,3 220:6
nerve 52:11,14,14
124:25 125:2 131:8 140:25 232:2,2,9
nerves
141:3,6,9 143:8 144:10 145:17 154:5,11,21 155:2,6 156:23 157:21 158:23 160:21 163:5 165:20 170:16 171:1,3 173:1,5
naphthalene 242:24 243:2,4
nasal 95:5
nason
52:2,5,6,9 54:22 nervous
51:15 neuritis
48:4,12 49:16 51:9 52:19
174:17,20,23 175:1,12,14 175:15,16,18 176:18 177:1
98:13 natinnal
54:21 neurologists
177:4,5,7,12,17,19,20,23 177:24 179:13 181:4 182:21 183:11,16 188:16
191:21 192:3 194:7 232:15 259:7 261:15 nausea
51:21 neuropathy
50:15,17 51:14,25 54:10
188:18 190:1,12 194:13
199:2
56:6
195:13 199:21,23,25 201:2 201:14,16,18 202:6,25 203:7 204:11,13,20 205:25
nca 259:6
new 24:18 70:20 79:16 82:12 114:11 115:9 136:6 196:4
newman 77:8,1097:12 131:15
newport 74:10,10,10,11 85:15
newspapers 165:15
niagara 27:21
night 22:3 225:15
nine 74:18 98:24
niosh 232:13,14 234:2 262:24 263:1
nitro 45:25 46:4,9,11 47:8,15,22 47:24 49:9 51:23 53:15 54:1 57:25 58:17
nitrous 170:1
nobody's 10:17 169:15
non 22:13,22 38:8 65:6 88:25 124:20 125:1 149:17,20,21 152:23 153:19,25 160:8,8 160:10,10,16,17 161:1,1,24 161:24,25 179:5 242:10 251:5
nonindustrial 124:13
nonoccupational 124:1
noon 127:20
normal 22:13 38:8 252:15 261:1 265:10
north 2:25 196:6
nose 91:2,6,12 92:2,4 94:22 95:3 95:8,13,17,20
notary 2:14 265:19
note 128:7 204:9 210:7 230:17 234:15 236:7 237:21
notes 202:13
notice 136:2 187:3 222:9 231:15
noticed 182:24
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007033
[notification - owned]
notification
obtain
okay (cont.)
ordinary
181:1
64:18 199:21 201:13202:2 136:12 139:1 147:19 186:5 21:12 36:3,6 39:8 40:2,6
notified
obtained
188:14 196:4 197:11 207:6 109:6
182:24 223:13
104:8 125:3,6
212:14,17 214:20 216:2,17 organ
notwithstanding
obtaining
221:6 222:5 236:24 247:18 8:15,23 9:2,21 10:11 12:17
117:9
233:11
254:25 263:21
12:19 13:2,5 37:22
november
obviate
old
organic
19:9,17 150:15,21 152:5
117:15,24 132:12
24:18
148:5 163:5 186:17 192:10
number
obvious
olive
192:12,16
20:9 48:11 52:17 54:19,23 28:10 32:23
1:26 265:13
organism
63:9 76:15 78:5,7 79:15 obviously
olsen
98:10
88:6 104:25 148:6 152:15 10:22 32:18 120:13 124:2 146:19
organization
153:6,21 154:4,16 155:13 159:2 220:11 222:10
olson
42:7 64:2 104:21 129:9
156:1 162:2,4 163:3,16
223:24 224:21 231:12
146:17
organizations
177:25 185:5 189:6 190:4,9 occasion
once
62:17
222:14 227:6 240:23 245:5 229:7,7
56:25 246:9
organs
numbers
occupation
o'neal
14:23 15:16
63:17
123:23
143:17
original
numeral
occupational
ones
232:18 264:15 265:1
74:18 77:25 220:21 246:4 88:24,25 232:15,19 233:24 12:7 48:7,12 52:18,19,20 osha
numerous
occur
54:13,20,21 101:4 122:19 101:23 104:24
123:22
66:23 91:18 109:5
187:16 189:12
ought
o occurred
one's
oath 41:6
object 7:25
205:1 10:4 11:6
12:5
16:7,10
38:1 120:4 o'connell's
114:18 October
199:11
220:11 oon
144:1 open
16:23 21:15 22:25 23:8,11 24:11 32:17 33:4 34:11
214:14 odds
80:9 81:13 operating
37:4 48:23 61:7 63:16 69:16 84:12 107:7,22 121:8
255:24 odor
256:1
122:14 127:15 132:4 137:15 138:5,17 140:23 148:9 149:18 155:20 160:22 172:23 176:24 197:16 200:2,3 204:2 206:22 208:16,21 209:20 210:1 212:22 213:1 217:21 218:1 219:7 222:1,3 228:10
241:25 oettel
56:24 57:6,8 offer
171:3 174:15,21 245:9 office
200:5 201:4 203:18 205:7 officer
95:10 operation
106:14 operations
30:7 92:9 104:6 105:13 106:19 146:8 operators 74:21,23,24 86:7 opinion 15:1,1371:2 109:11 119:4
232:23 235:6 247:16 248:19 254:14 258:2
264:8 offices
121:3 142:12 156:3,8,13 171:14 173:8,21 179:8
261:25 objection
2:12 oh
197:3 230:22 opportunity
33:11 62:12 92:21 128:7
42:22 46:13 56:7 70:3 71:11 72:25 93:14,24 123:3 128:4 157:2,24 203:4
53:21 68:5 78:6 88:3 93:18 136:3 154:12 167:3 197:11 205:15 234:1 254:25 Ohio
42:5 103:1 236:2 opposed
260:4 opposing
218:17247:18 objections
35:13 obligated
62:2 obscure
135:15,16 observed
116:21 163:20 164:4 170:13 172:17 187:23,25 ointment 86:2,6 ointments 86:4 okay 7:9 17:25 31:16 38:19
122:1 option
258:9 oranges
119:10 order
71:20 199:25 ordered
13:11 82:7
70:15 71:16 78:13,23 92:13 203:12,16
4:25 23:16 33:23 37:14 41:6 53:10 236:7 254:8 ounces 75:18 76:8 ourself 154:9 outrage 204:21 outraged 105:19 outrageous 30:9 outside 132:18 144:21,21 149:23 176:19 199:8 overbroad 12:6 217:24 218:2 overconservative 81:17 overexposure 239:20,24 overexposures 123:21 overgrowth 252:15 oversimplification 82:4 oversimplifying 113:22 overtones 175:10,10 176:17,18 owned 170:12 171:9,11,12 177:2 226:7
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007034
[oxygen - pcbs]
oxygen
painful
paragraph (cont.)
pc
53:14
49:12
223:8 224:5 226:15 227:22 87:23 248:25
P pains
230:9,16 232:12,13 234:17 pcb
p.m. 2:11
Packard 28:2
page
49:16 51:4,10
239:16 247:11 250:17,19
paint
256:22
116:9,11,19 124:21,22
paragraphs
125:7,9,10,24 167:15,23,25 85:11,13,21 151:7
168:8,15 169:6,7,13,24 pardon
4:19,20,22 5:6,9,20 10:24 10:25 11:3,13 12:15 14:11 15:14,16 16:17 18:21 19:5 22:23 24:7,10,13,21 25:15 26:14,23,25 27:13 29:2,4
3:22 4:14,17 5:2,7,11,14 6:8,17,21,22 7:2,5,20 12:18 13:6,15 14:6,16 15:19,24 17:18,24 18:6,10,11,12,17 18:23 19:1,15 20:6,8,9,9,11
178:7 180:16 184:9,15 187:2 206:12239:11,12 painted 165:8 172:18 painting
20:12,21,25 21:2,6 22:9
104:7 105:4,5,6,13 106:11
224:16 park
163:6 177:16,18 183:23 part
1:15 28:20 74:12 75:8 77:22 145:11 151:25 153:1
29:21 30:3,6 32:15 33:10 33:16 34:9 40:7,8 45:15,19 46:6,17 47:12 53:6,12,14 61:15 62:9 63:12 64:7 65:11,15,24 66:3,9 69:11 72:14 75:13,18 87:2,10,23
36:1 64:9,19,20,22 65:17 73:9,17 74:16 77:3,19 78:7
106:16 paints
154:6,19 158:3 204:22 232:11 238:3 241:6,8
88:1,5 89:10 90:4 91:10,22 92:2 93:23 99:17,20,24
78:9,25 79:11,13,15 80:13 85:6 89:12 90:25 92:6,8,19
96:5,7,10,15,18,20,23 97:1 pair
262:25 parte
108:14 109:6 115:24 116:6 119:12 126:8 130:18 139:3
95:22 97:2,5,6 109:4 114:10,10 115:7 119:22 120:16 126:7 127:3 133:18 134:2,10 140:19 141:19,21
92:24 pap
216:25 papa
31:17 participants
192:18 participate
142:6,7,8 154:5,11,17 155:7,16 156:4 158:5,17 163:3 164:2,13 165:6 166:18 167:11,15,18
143:3,12,20 144:13,15 145:3,4,20 146:12,17,21
163:18 papageorge
196:9 228:18 229:12 participated
148:2,24 149:1 150:5 151:6 151:11,13,22 152:6,10
163:13 166:9,17,20 172:24 228:8,13 172:25 174:10,19 175:21 participation
159:8 162:11,12,13 165:19 166:5,6 181:14,19 182:2 186:10 187:19 188:5,7,23
177:4 178:19 181:12,15,25 194:12
182:10 183:1,21 184:12 particular
186:6 187:13 193:16
5:4 23:21 25:11 31:4 55:12
191:25 192:25 193:19,23 194:2,22 195:19 196:20
202:22 205:20 207:20 208:1 226:25 230:3 232:5
57:20 83:17 103:6 106:18 123:22 134:7 172:3 179:6
168:17 169:4,6,18,21 170:7 171:15 173:18 174:12 175:1,4,19,19,20 177:25 179:3 180:1,16 186:18 188:17 189:13 191:7 199:1 199:23 201:15,25 202:16 205:19211:17,18212:1,18 213:15215:14216:21 223:18 225:1 226:15
202:13,24 205:11 206:3 207:2,13,19,21 210:3 211:16212:7 213:2 214:7 216:14217:5,13218:4,11 220:2,7,19,22 221:4 222:24 223:9,10 224:3,17 225:7,24 226:1,14 227:11,12,13,18
234:19 238:22 242:3 papageorge's
213:18,23,25 214:2 paper
40:5 79:22 149:16 150:4 191:21 192:4,20 paragraph
179:18 182:15 196:10 201:20 217:17241:15 244:13 245:17 248:3 particularly 100:3 153:8 164:2 parts 59:17 94:1,7 118:6 164:12
228:23 229:5 233:9,11 236:10 246:6 261:10 262:13 pcbs 11:21,24 12:2,3,9,1321:17 24:16,17 26:20 27:4,7,22 28:7 32:9 35:7,24 39:9 40:3
227:20,22 228:22 229:1,18 229:19 230:2,5,9,13,16 231:6,10 232:10 234:8,13 234:18 237:3 238:22,25
5:14 6:17,24 7:4,5,12,16,19 164:14,19,19 173:13
7:198:11 13:10,15 14:7
187:20 188:3,25 189:1
15:23 16:8 21:6 22:9 37:18 211:12
65:3 74:18 80:5 81:21
passes
41:17,23 42:1443:13,19 44:8,10,17 45:1,6 46:8 53:4 59:21 60:3,7,21,25 67:6,17 68:8,18,23,25 69:3 76:8
245:22 246:2 249:3,20 250:1,9,12,19 254:11 257:2
82:14 83:10 88:12 89:13
58:17
90:25 92:11 95:24 98:12,16 pathological
87:3,20 88:15,17 89:7 94:21 95:13 96:20,23
257:3,18 262:15,21 263:4,6 pages
98:22 99:6,10,16 100:2,7 101:15 103:4,4 105:7
7:22 260:24 patiently
107:20 109:10,11,15,17 112:6 113:2 116:10,25
18:4 20:10,16 39:2 127:5 134:5 193:21 194:25,25 206:14 212:15 216:7 263:2 paid 17:6 170:24 175:1 177:1 265:9,10 pain
106:21,24 107:5,6 109:3
128:23
110:22 112:17 115:9
patients
134:11,12,16 145:3,7,9
38:1
146:4 150:25 151:22 158:3 paul
161:8 166:3,11 178:3 188:6 261:23
188:23 189:5 191:16
pay
192:25 196:20,23 199:17
112:23 113:13,17 118:10
119:7,19 120:1 121:5 122:24 124:12,23 125:1,14 129:17 138:3 140:15 144:11 145:8,9,16 150:12 151:15 152:9 154:8 155:19 156:24 157:14 158:7 164:24 165:10 166:22
50:16 51:2,13,24 56:6
199:17,19 202:25 203:25
118:13,21 119:4,23 120:17 167:4,25 168:12,15 170:15
199:3
206:5 211:17,20,21,24 212:10214:16215:5 219:1
122:12,20 171:1,3
170:20,23 172:9 173:9 175:16,16,24 176:20
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007035
[pcbs - please]
pcbs (cont.)
people (cont.)
pesticides
plaintiffs
177:17 180:5,21 181:5,9,23 233:1 234:2,4 242:11 248:6 190:13
1:5 2:5,17,20 33:9 113:20
183:6,8 185:6,17,24,25
248:6 262:9
ph.d.
236:12
186:25 187:9 188:18 189:8 percent
89:19 97:10
plaintiff's
189:19,20 190:12 192:3
5:10 6:13 49:2,3,3,6,7,7 phenoclor
3:23 64:11 65:19 122:23
193:9 194:18 195:24 196:6 76:15,16 98:19,21 99:1,4
219:3,10
134:2 160:5 194:2 216:7
196:7,14 197:1 198:12
161:16 162:6,6,8 246:1
phillip
235:18
201:24 202:8 204:12 206:7 percentage
213:19
plan
206:14 210:25 215:6,22
28:6
phillipsburg
150:7,16 151:10,12,16,25
216:8 219:17,18,21 223:17 perfect
79:16
152:2,7 153:18,18,24 154:6
223:19,21 224:9 225:21
14:18
phone
156:21 158:3,12 159:18
226:18 228:2,7 230:25
perfectly
58:23 59:5,6,7 63:9 215:11 185:23,24 202:13,15
231:4 232:20,22 233:25
38:3 71:19 102:3,14,15,17 216:6
223:20
242:4,5 248:11,18 252:3,5 102:21
phosha
planned
253:4,10 261:4,6
perimeters
163:6
202:7,11
pet
157:9
photostat
plans
223:14
period
194:4
186:5 223:24 224:1
peak
8:8 67:1969:8 115:13
phrase
plant
66:22
142:21 145:16 157:23
120:15 257:3,15 258:19
27:6,6 28:1,1,2 30:6,16
peanuts
243:12
261:16
34:4,13 43:13 46:6,25
189:16
periods
phrases
59:20 60:1 61:2 62:25
peculiar
45:17
230:20 231:1,3 255:25
66:20 73:15,15 74:3,6,6,20
137:24
peripheral
261:15
75:5 76:5,9 77:11 85:17,18
peer
48:4,12 49:16 50:14,16 physical
85:18,19,23,23 86:13,19
257:5
51:9,13,24 52:9,19 54:10
42:12 68:12
87:22 92:10,22 94:5 95:3
pending
54:20 56:6
physicals
102:23 104:8,9,18,19
2:15 24:24 33:2 34:1 35:3 permanent
41:20 43:11
138:22 189:15 191:5,7,10
36:9 39:3 42:2 43:2 56:9
13:18 139:17,19,19,25
physician
220:12 233:9 234:3 236:8
67:25 107:14 108:1 121:17 permeates
77:10 97:13 135:25 138:15 236:12,18 237:25 245:2
123:9 157:5 168:20 201:10 95:5
physio
249:1
penetrates
permission
260:23
plants
243:14
28:1731:15
physiological
28:9,12,16 30:15 45:2
pennington
permit
260:21
76:12 87:8 93:5 98:11
85:15
190:18
pick
102:25 103:3 154:5,11,18
pentachloridibenzofuran perry
208:24 209:8
155:8 158:5
219:3
265:12
picked
plastic
pentachlorphenyl
persistent
251:3
145:9,17 167:19
219:11
160:8,10,16 161:1,24
picking
plasticizer
people
person
80:7 210:2 212:14
116:6,8,14,17,25 131:2
26:19 27:6 28:15 32:12
37:5 88:5,23 89:3 112:7 piece
149:16 150:25 168:12
34:22 35:19 39:13 43:22
113:1 114:2 119:1,25
44:15 148:16
169:5,18,22 171:15 187:4
45:7 47:16,24 48:3,11
142:18 173:1 180:5,20
pigmentation
223:13,17 243:18
54:19 56:2 61:3 64:1 66:24 198:1 242:11 264:14
139:12 198:24
plasticizers
66:25,25 87:22 88:21,22,25 personal
pimples
149:13,13 170:16 175:19
91:11 94:23 95:15 97:25
86:8
198:23
175:20 181:18,22,24 182:3
102:23 103:13 109:6
personally
pint
182:4,22 183:6,9 186:2,25
112:25 121:5 124:4 126:1
124:14 174:22
241:4
187:9 206:7,15 223:22
132:16,16 138:23 144:8,22 persons
place
plaza
146:5,10,17 147:4,18
37:15 199:1 247:13
25:13 44:6 75:1,2 83:15
264:18 265:4
149:17 150:11 155:5,18 pertaining
85:4 94:18 112:9 210:24 please
156:1,2,9 157:8 165:20,25 230:18
216:8 250:21 256:12,13
24:22 32:25 37:18 40:20
170:12 172:19 178:17
pest
placed
42:1,20 50:10 70:3 71:10
179:23 182:24 185:11
189:8
176:6
71:13 73:10 74:16 79:11
186:25 187:15 192:18
pesticide
plaintiff
80:1789:12 107:13 118:18
200:12211:8 214:5 216:21 189:8,9,14 190:13
122:11
120:7 121:15 123:6 143:3
220:10 222:8,11 228:17,18
168:19 195:19 196:23
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007036
[please - product]
please (cont.) 209:3,4,7 231:6 244:20
plus 22:12 27:9 38:7 65:5 67:8
point 20:25 28:19 72:20 80:8 114:12,12,24 115:2,10,10 115:14,22 127:24 166:19 172:24 177:4 178:4 184:2 255:5 262:5
points 185:23 202:18,20
poison 26:7 133:8
poisoned 91:21 92:3
poisoning 95:14
poisonous 14:1425:7
poisons 25:5
policy 86:3 89:1
politician 198:4
pollution 146:5,9 150:20,22,22 202:17
polychlorinated 5:20 142:13 195:3,11 198:17 230:18 239:9 240:10,13 243:16 244:9 262:24
polymer 145:11,12
pop 129:10
portions 209:22
pose 150:20 228:2
position 43:7 106:24 181:5 231:1 259:23
positions 143:11 159:24
positive 8:22 12:25 14:21 15:5 156:18 218:21 245:15 252:2,2,3,23,25 253:1 260:5,6
possibilities 189:7 190:10
possibility 45:23 123:24 170:2
possible
presence
probable
6:1981:8 134:17 139:16
167:11 219:2 251:13
56:4,12,18 201:24
172:20 199:23 201:15
present
probably
possibly
53:25 54:11 56:22 90:22
39:2 71:3 76:15 83:16
150:4 167:12 189:18
122:9 130:8 152:6,6,15
121:12 146:10 148:13
199:10
156:4 170:9 175:12 191:11 180:3 204:5 208:21 218:24
post
209:14 230:23,23 233:9
241:13 245:7
55:23 231:9 234:14
236:20 249:23
problem
pot
presented
6:19 83:25 84:1 125:10
81:9
63:14 205:20
150:20 156:8 158:11
potential
presently
159:10,11 166:17,18 173:9
89:10 120:19 129:13
233:1
173:13,22,25 174:16 175:9
152:19 165:2,4 173:9,21,25 presents
176:11,17,18 177:13,14,17
174:2 181:2 185:25 202:8 234:24
177:21 179:21,22 181:23
202:16 215:2 232:20
president
183:7,11,13 184:1,22
240:21 241:2,2 248:9
143:14,15,16,16,17,17,19 185:20 186:4,6,7 193:17
potentially
147:6,7,8,11 163:4 250:14 202:19 206:14 235:20
167:1
presumably
238:1 241:14 243:11,24
pounds
4:9 10:14 25:10 49:23
244:4 245:8 252:5 254:4
149:3,6,12
51:10 53:6 102:23 148:17 260:7,8
ppm
189:15 234:6
problems
188:8,10 203:8
presume
22:8 24:10 43:16,21 44:23
practice
9:24 78:15,17 128:10,11
47:7,14,19,24 52:17,25
42:11 43:10 72:6 75:13,19 214:22
54:5,7 57:2 58:1 60:3 87:2
82:14,16,20 87:4,9 88:9,14 presumes
87:22 88:17 105:2 112:6
92:19,20,22 93:21 230:1
27:5
122:24 150:18 158:12
242:4
pretty
172:19 177:22 193:20
practitioner
74:2 81:5 90:10,14 105:20 212:14 235:20 237:9
136:2 137:13,17,22 138:4 135:14 184:14 187:4
251:12
138:13
222:16 227:9 252:23,25 procedure
pre
263:10
44:19 75:1 95:11 248:3
41:20 42:12 43:11,12 249:2 prevent
procedures
preceding
86:4 157:22 158:8
41:17,1886:9 157:18
123:14 239:20
prevention
247:11
precisely
156:25
proceeded
107:4 108:14 110:23
previous
243:4
112:19
15:4 19:1335:1537:2,18 process
predictably
41:13 44:2 58:9 62:5 71:25 25:13 73:13 74:4 78:10,13
172:19
80:24 97:11 102:12 118:19 78:14 105:4 126:3 169:3
prefer
120:9 209:10 210:20
processes
40:24
256:15,24 257:7
157:1 220:17
preferable
previously
produce
197:4 257:4,16
26:13,23 65:20
98:10 112:6 131:17
preliminary
primarily
produced
156:7
15:16
2:10
preparation
principal
produces
128:12224:10
199:9
37:21
prepare
print
producing
97:16
218:24
81:14 82:2
prepared
prior
product
63:1 222:20
217:21,22
15:19 42:9 82:9 117:8
preparers
private
123:20 130:18,20 132:19
141:10
230:1
132:20,24 149:23 150:12
preparing
privy
150:18 153:25 161:12,22
194:12 224:8 228:9
224:1
163:2 175:12 192:1,20
203:13,17 215:2 257:21
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007037
[production - random]
production
propounded
put
question (cont.)
73:13 74:4 78:10 134:22
24:24 33:2 34:1 35:3,15
22:7 75:21 76:11 94:18
185:18 200:2,13,14 201:5
148:18 150:13 179:24
36:9 37:2 39:3 41:13 42:2 95:1 107:8 125:7,24 126:2 201:11 203:24 204:20
199:21 201:14,17
43:2 44:2 56:9 58:9 62:5
126:4 132:25 133:3,13,16 206:9 209:13,23,25 210:14
products
67:25 71:25 80:24 107:14 186:25 187:8 190:10
210:19,21 211:14214:24
44:12,22 49:24 51:5 98:5
108:1 118:19 120:9 121:17 239:24 240:25 245:24
217:18,22,24 218:1,3 222:4
131:22 148:20 150:17,19
123:9 157:5 168:20 201:10 257:13 258:10
223:1 228:20 230:8,25
151:1 152:16,17,19 153:4 210:20
putting
232:24 237:7,9,25 238:8,9
159:5 160:9,11,17 161:2 prospective
63:19,20 80:9 146:7 148:13 238:13 239:4,5 240:7,17,24
189:20,22 262:7
41:21 42:12 248:2,16
149:15 260:14
241:7,11,17 242:7,14 243:8
profession
protect
putzell
244:2 248:22 250:23
198:6
154:13 245:6
147:8
259:10
professional
protecting
pyranol
questioned
1:25
204:10,10
30:1
106:2,8
program
protection
pyranols
questioning
151:14 152:8 153:7,10
199:21 225:20
73:14 74:5 78:10
213:24
154:18 155:14 156:10 158:6 159:5 160:7,9,16
protective 86:3,6 243:13 244:23
q questions 3:2,20 32:6,24 35:4 36:24
161:1,9,19 186:24 187:7,16 prove
192:19 205:19 214:21,25
55:3 103:16,18,24
230:19 231:1,3
38:20,24 39:4 40:22 47:2 50:10 62:19,22,24 70:20
216:20 261:18 progression
proved 9:1 15:25 110:19
230 17
107:23 127:1,4,5,22 138:6 138:7 144:7 152:13 157:7
13:23 prohibit
proven 55:4,18,19 110:19
60:25 83:1 247:9
181:12,16 182:21,23 204:23 209:15 230:23
195:1,9 projections
provide 4:4 87:19 199:24 245:8
100'13
235:10 237:4 239:1 242:9 242:11 244:5,6,17 245:1,1
144:10 prolonged
provided 59:11 64:9 217:14
507
245:4 quibbling
45:16 131:5 134:17237:11 public
240:9 248:1
2:14 79:19 228:5 255:19
114:18,19 247:8 263:7
261:14 quit
prominant 48:7
prominent 48:12,19 49:13 106:7
promise 31:5,8,12
promised 38:21 128:2
prompt 247:4
promptly 246:12,13,16,18 247:2,3
pronounce 95:25
proof 30:25 31:2 122:12,22
proper 69:22 82:8 174:20 213:6 234:23 236:19,22 245:9
properly 182:16 236:22,25 237:2
properties 117:22
proposed 228:3,23 262:25
265:19 publication
144:19 publicity
175:9,10,11,13 181:4,8 200:5 publish 3:10 published 3:8,9,12 263:3 pull 161:7 246:14 purchased 202:7 225:21 purchasers 16:5 26:3 39:7 224:24 pure 28:20,22 29:6 88:7 purpose 6:10 130:4 144:5 195:7,12 205:5 232:18 purposely 123:3 pustules 239:19
8:1 11:7,8 12:5 16:9,10,11
204:23 263:21
21:11 23:16,17 24:23,25 quite
28:3 32:17,23 33:1,3,20,25 34:2,11,24,25 35:2,6,10,11 35:16 36:2,10,22 37:1,3 38:15,17 39:1 J 7,18 40:1 40:11,15,17,1841:11,14,24 41:25 42:1,3,21,23,24 43:1 43 3 8 25 44 1 3 45 3 11
50:22 108:6 130:24 136:18 156:1 170:2 175:9,23 176:16 183:19 243:9 quotations 85:11 quote 119:22 120:17 135:24,24
47 3 48 24 55 15 56 8 10 58:6,7,8,10 60:16 61:8,9,18
145:9,10 192:1 250:20,20 250:21,21 256:25,25 257:1
61:19,24,25 62:1,3,6,8,13
257:5
64:1 65:2 66:3,5,24 67:1,23
67:24 68:1 69:17,21 70:4,6
70 11 12 17 71 1 8 10 13 71:14^ 17^21 72:1 ^9 73:1
quotes 230:21,21,22
quoting 23:22 83:17 260:11
74:25 80:18,19 84:6,7 91:6
r
94:20 96:14 106:19 107:11 rabbits
107:15,25 108:2 118:20
8:7 155:22
120:8,10 121:9,11,13,16,18 radioactive
121:20,22 122:16 123:5,6,8 81:18 84:21
123:10 127:24 128:5,22 rail
155:21,25 157:3,4,6,25
238:17
158:18 165:4 166:24
random
168:18,21 176:25 178:9,14 104:24
178:20 179:16 184:12
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007038
[range - remedial]
range
real (cont.)
recommended
reflect
42:18 101:5 108:7
236:23 240:18,21
101:13 132:1 142:17,21
193:5
rat
really
151:12 152:7 164:21
reflected
22:12,21,22 25:8 37:6,7,10 7:1 9:6 31:7,13 64:1 70:21 record
181:9
38:8 65:6,11,11,15255:18 77:15 78:4 81:18 86:11
23:1524:1530:11,1432:11 refresh
rate
91:4 92:17 103:24 127:15 53:3,9,9 61:22 73:19
129:2 223:20
70:19 118:10 233:20
133:5 146:4 206:1 220:5
105:17 114:13 115:7
refused
rating
223:4 239:10 245:15
125:16 133:23 183:11
199:23
220:25 221:12
reason
191:2,25 193:5 195:22
regard
rats
44:6 70:18 118:5 127:23
196:1 197:18,22 200:6,13 33:18 58:20 64:8 68:18
37:16 38:4 64:13,16,20
162:8 170:17,20 201:21
205:9 206:23 221:3 230:11 96:7 119:11 137:18 158:23
155:22 203:8 233:20,21
238:18
234:15 235:7 236:6,12
177:7 182:22 187:8 194:17
251:16 252:6 253:8 255:12 reasonable
237:21 259:21
218:11 255:20
ray
115:16246:19,20 247:3 recorded
regardless
88:10,11,15,20 89:2,9
reasons
104:9,13
61:10 113:11
rays
57:19 75:6,11 76:11 132:18 records
regenerating
89:2
168:23
104:11 113:20 199:25
22:5
reached
recall
233:12,16
register
25:21,25 228:6
4:11 9:11 12:16 16:5 17:13 redirect
191:21 192:3
reaction
57:23 68:20 79:20,23 80:15 209:13
registered
48:1 51:6 54:17 140:14
96:5 98:14 111:22,25
reduce
1:25
170:2 238:15,19 244:15
128:15,16,18,20,25 131:18 154:4,10,17,22,24,24 155:5 regular
read
155:24 164:1 174:9 178:22 155:7 158:4,7
44:20,20 54:2,23 56:19
13:3 15:23 16:11 21:5,5
183:25 184:7 195:16 200:8 reevaluation
73:4
23:4,12,13,13,14 24:23
217:8 218:3 225:15,17
259:2
regulations
33:1,24 35:2,11 37:18 38:9 227:4 228:19 237:6 250:6,8 refer
104:24
38:10,12,13,14 39:1 41:25 receive
98:12,16 107:4 114:25
reinforce
57:15 58:8 61:21,23 62:1,3 162:23 231:19
115:11 123:15,19,20
156:13
64:19 70:3 71:10,13,21
received
134:10 136:10 138:21
relate
74:12 77:16,17 78:2 79:21 4:11 51:4 62:20,23 70:5
181:14 188:5 203:15,25
85:13,15 100:17 156:21
79:23 80:4,7 81:21,22
162:24 213:9
reference
215:6
102:6,7 107:13 123:6 141:2 recess
4:18,21 6:18 7:16 14:10 related
141:15 151:12 152:2 161:3 41:9 80:11 115:5 133:22
18:23 24:17 40:20 79:14
230:21
161:4,7 168:19 178:10,10 151:20 191:23 229:16
90:17 98:23,24 99:6,9,14 relates
182:16,18 188:11 190:20 recheck
106:21 107:6 121:6 137:19 230:9
194:3 196:1,23 197:8,9,13 262:14
143:20 182:15 191:16
relating
197:22,22 198:8 200:12 reclamation
196:5 206:7,10 219:5 229:1 166:21 249:5
206:5,9,18 207:1,8,13,16
190:18
233:15 255:18
relationship
210:8 213:3,11,25 214:24 recognize
referenced
29:3 123:5 124:10 161:20
215:13 216:9 218:25 220:8 80:1 134:4 141:6,10 146:1 181:17,25
release
220:15 235:2 239:6 249:10 146:2 154:23 167:1 220:4,6 references
181:8
250:19 251:22 258:24
220:9,15 222:24 224:19,20 99:16,19,21 188:23 206:13 releases
reader
228:22 245:23
referred
181:5
255:16
recognized
106:11 136:3 137:18211:7 relevance
reading
177:11 186:6 239:10
219:6
46:14
8:10 12:23 13:14 16:7 23:8 recognizing
referring
rely
23:9 36:8 38:16 102:4
129:15
4:23 7:10 84:10 103:19,21 97:20
121:11 144:5 160:15 197:2 recollection
106:16 107:5 112:24 116:4 remain
200:3,16,24 203:4 213:2,4 19:22 48:19 52:23 59:18
119:24 120:3,4,6,11,13,14 82:3
228:11 235:9 247:17 257:2 214:18 249:23 250:10
120:19 121:1 129:6 170:11 remained
reads
recommend
199:5 202:12
13:13,17 14:18
208:1
130:14
refers
remaining
ready
recommendation
5:12 85:17,17 114:12
79:10
17:25 152:20
179:7 185:25 244:21
115:12 136:6 199:20
remedial
real
recommendations
203:16 245:4
176:21
22:6 191:20 234:24 236:20 26:19 157:17
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007039
[remedies - ridiculous]
remedies
report
requested (cont.)
183:23
3:25 4:15 7:10 16:9 17:5,23 250:22,25 259:17
remedy
17:24 18:2,5,8,10,18 19:7,9 requesting
186:7
19:23 20:5 23:9 49:12,14
257:7 258:20
remedying
49:18 59:17 104:16,20
requests
174:15
186:17 215:19 224:8 228:7 184:4 225:19
remember
228:9 233:8,19 237:8
require
16:1648:7 58:3,4,11 64:12 250:19 254:7,8,17 257:4,21 94:11
80:21 93:19 94:18 96:24
257:22,24 258:7,16,18
requirements
102:22 105:19,22 106:13
259:12,13 261:21
150:17
129:12 141:4 146:20
reported
requires
158:11 165:12 223:4
20:3 27:10 28:21 48:22
245:10
226:19 227:16 252:4
49:4,8,10,15,20 59:7 85:16 requiring
261:13
104:18,19 164:12 195:22
224:24
remembering
229:7 240:15
reread
105:21
reporter
23:15 35:13 37:1 39:17
remotely
24:22,24 32:25 33:2,24
41:11 43:1 107:25 120:8
46:17
34:1 35:1,3,15 36:9 37:2
121:16
removal
39:1,341:11,1342:2,25 research
13:11,24
43:2 44:2 56:9 58:9 62:5
89:20 97:16,18 106:13
removed
67:25 70:3 71:10,13,25
110:8 129:12 147:11
139:25 246:12
80:22,24 107:14 108:1
150:14 152:20 153:2
remover
118:19 120:7,9 121:15,17 187:18 220:10 232:16
239:11,13
123:9 157:5 168:20 201:10 residual
repairing
210:20
241:25
22:2
reporters
residue
repeat 1:25 187:20
20:1 43:25 56:8 66:13
reporting
resisted
75:11 118:17 157:4
1:24 19:8,13 265:12
21:10 22:6 37:22
repeated
reports
resonance
84:6 95:11 131:5 134:17
10:20 29:5,11 49:19 58:22 255:2,7
239:1 247:14,23,23,24
59:11 96:16 106:22 107:18 respect
248:1,4,8
159:6 168:25 218:22
84:4 103:8 193:13 218:10
repeatedly
224:14249:8,10,11,11
223:21 226:18 256:5
19:21 28:14 81:25 82:6
251:5,22 253:12,20,25
respiration
90:1 254:1,12,15,20 256:6 258:3 199:3
repetition
258:4,24 262:12
respirator
70:23 200:23
represent
93:13,20,22 94:12,19,22
repetitious
86:9 183:5
95:1
138:9
representation
respiratory
repetitiously
78:25
198:19
138:8
representative
response
repetitive
203:11
50:8,11,1851:5 182:19
70:21 127:21,25 128:6
representatives
209:22 238:9
132:6
194:5
responsibilities
rephrase
represented
155:4
112:11
2:20,23
responsibility
replace
representing
92:15 153:2,3 154:20,21
153:19,25 161:17 172:12
78:20 186:20
155:2 174:24 180:20
174:21 175:1 178:1
reproduction
187:13
replacement
241:16
responsible
150:18,19 152:16,17 153:4 request
179:23 230:24
192:1,20
4:7 148:6 174:20 199:24 responsive
replacing
201:12 257:4
40:17,19 209:25
191:12
requested
rest
4:4 199:19201:13202:1,1 132:10 139:19,23 239:14
restate 158:2
restraining 127:16
restrict 209:24 210:17
result 11:5,1922:1849:21 51:2 51:23 54:18 57:3 58:1,17 110:3 136:22 138:2 159:13 167:21 173:9,13 174:12 186:1 202:17 252:2 261:23
resulted 48:1
resulting 81:12
results 14:13 15:5 17:1921:2 26:21 64:23 65:22 66:11 89:22 104:13 133:13 156:7 156:18 174:5 188:21 240:3 251:1 262:12
retired 177:20 235:8 254:6
retirement 234:14
retyped 162:15 188:8,10
reuse 171:17
reused 171:18
revealed 219:2
review 58:22 114:11 115:9 126:20
141:1 234:11 reviewed
105:23 126:17 150:18 160:23 249:13 250:2 262:6 reviewing 127:7 251:15 reviews 261:23 rhetoric 198:14 rhyme 162:8 ribbons 176:6 richard 89:17,19,19 220:7,9 rid 93:2 ridiculous 203:19
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007040
[right - sections]
right
roush
samples
scars
3:13 5:2,19,25 6:8,15 7:8,8 249:15
164:3
139:23
7:9 8:12 15:10 17:18,22 routine
sand
science
28:1631:1,3,8,19 36:17,19 76:11
201:14
11:16
39:21 47:7 55:14 56:1
routinely
sandblast
scientific
57:1260:5 61:11,14,21
101:17,22,24,25 104:15
172:3
9:7 10:18 199:13
65:24 67:16 72:16 73:25 ruabon
sandblasted
scientist
77:8 78:12 80:4 82:13 85:2 74:11
171:18,23
59:14
86:1 90:3,24 94:4 97:8
rule
sandblasting
scientists
102:2 131:25 135:19,23
113:3 114:1
171:19
107:20
136:9,16 142:16 144:24 ruling
sat
scott
148:2 149:12 150:24
71:9 210:16
45:12
229:4
153:11 162:22 163:11
run
satisfied
scraping
166:6 172:5 174:3 182:13 32:23 52:22 54:3 109:6
105:1
50:20 169:15
183:18 184:3 188:16 192:9 114:22 136:17 200:5
satisfy
screen
193:2 195:18 196:2,19
203:20,20,21
146:4 150:17
214:22 248:9,16,24
199:16 203:24 206:19
running
sauget
screened
207:19211:20 215:9 217:3 53:24 173:24 201:4 203:18 45:5 73:15 74:7 85:18
249:1
219:16,24 220:13,19 223:7 205:7 259:1,4
savage
screening
224:3,23 225:6 226:22
runs
222:9 231:17
214:21,25 216:20
227:18,20 228:21 231:6,16 109:22
save
scrupulous
231:18 232:8 233:10
russo
207:4
81:1583:11,15,1984:4,10
235:23 237:3,17,20,24
264:16 265:2
saw
84:23 85:2
238:21 239:14 241:17
ryan
74:14 77:6 78:19 118:5 scrupulously
247:7 250:1 253:2,18,24
194:10,14,17 195:8,22
129:22 138:23 140:24
84:20
254:3 256:4,9,9,22 260:13 196:5,21 197:20,23 198:3,3 148:1 176:9 191:13 196:18 scrutiny
262:18
199:25 200:18 202:1
205:25,25 207:2 208:8,9,12 9:7
ring
203:11,23 204:8 205:3
208:18,20 222:7 225:14 seal
5:21,22 77:13
ryan's
227:19 229:14
265:16
rings
194:21 195:17 197:25
saying
sealed
99:12
198:2 203:5 204:4
21:23 37:10,1347:1461:13 190:17
risk s 63:17 80:20 95:18 113:5,7 seams
44:25 45:5 46:15 60:20 61:1262:11 63:1572:13 191:11 risks 45:3,14 46:3,10,21,22 47:3 47:1761:5 66:12 ritchie
sacrificed 7:21 13:10
safe 35:20 41:16,18 64:7 66:15 67:4 82:14,20 87:12 89:22 90:3 91:23 102:3,14,15,17 102:21 103:10,23 104:3,14
117:12 119:10 121:14
21:23
125:19 130:16 147:15
search
172:1 188:13 202:20
3:10
208:19 216:12 236:19
second
243:4 245:15 256:2 258:24 5:136:17,24 7:5,12 11:3
259:25 260:1,2 261:15
21:17 28:25 30:5 47:20
263:11
80:4 81:21 90:25 100:1
77:8 rkel
1051 10815 17 11011 16 110:17 111:2,7,12,24
says 7:14 9:16,19 10:3 12:19,22
101:15 144:20 146:3,4 161:7 166:11 188:23 207:4
163:18
112:10 132:9 156:19
12:24 13:10 14:19,24 15:24 209:4 214:15 224:5 226:15
robert 79:18,24
roman 74:18 77:24 220:21 246:4
roof
157:17 179:6 235:21 242:9 242:12 safety 44:11,20 85:8,10 92:7,12 92:14J 5,20 141:21 232:16
22:14 37:7 38:5 39:5 40:5 232:10,11 234:17241:6,7
60:3 65:3 81:7,15 82:5,6,16 256:13,22
82:17 108:19 138:19 142:4 secondly
149:5 174:3 175:8 187:11
40:7 76:25 134:12,16 160:7
188:8,10,15 194:3 195:1 secretaries
48:3 50:23,24,25
197:24 198:17 200:7 202:1 60:14
roofing 50:20
room 83:25 92:25 93:1
rotate 89:1
rough 172:16
2721 281 sake
215:16 sales
147:8 186:20 187:4 189:5 190:2,3,15 199:22,25 201:14,17202:17
203:6 207:2 210:4 211:18 212:3,6 214:20,24 215:16 215:23 216:4 219:1,12 220:24 221:12,17 222:19 228:1 232:18 233:10 234:21 237:9,22,25 240:7 243:1 262:23
secretary 143:19 147:9,12
section 15:24 18:8 79:18 80:1 194:6,6
sections 230:17 255:9
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007041
[security - sir]
security
separate
shoes
silos
245:9
15:14 40:3,3,5 79:1
243:9,10,12,18,19,20
116:7,9,11,17 117:1,6,10
seeing
separately
shop
117:13 125:11,17 130:23
104:2 153:21 200:8
242:22
129:10
164:8 165:7,7,10 166:22
seen
September
short
168:2,13,15 170:20 172:17
3:11 10:20 37:24 73:23
4:1 18:5 19:1020:5 79:16 41:9 80:11 115:5 151:20
173:10 174:13 175:5,20
77:6 96:16 104:13 126:23 96:4,6 97:10 98:13 108:12 191:23 229:16
177:17,25 180:14 181:17
134:7 137:23 147:24 183:1 109:4,11 110:6 115:7 124:6 shorten
181:20,22,24 182:5,15
195:23 201:16 205:24
182:1 205:21 208:4,4,15,22 243:19
184:13,16 185:5 186:2,25
206:1 214:12,16 215:18 series
shortly
193:9 206:8,10,15
220:18 224:14 225:13,14
5:18 153:7 245:24
237:4
similar
226:24 234:1,10 249:13,20 serious
show
56:24 57:4 184:4 238:6
249:24 250:5,7,7,9,11,12
54:20 55:16 82:2 94:20
49:19 68:13 104:9 128:19 240:3
262:11,16,22 263:2
136:23 140:3 175:9 176:10 132:8 144:4 156:14,17
similarly
select
176:17,18 178:4 198:24
237:4 254:8 255:9 257:20 11:18
213:12
199:6 212:20213:17
showed
simplistic
self 239:20,20 243:11,24 244:1 47:6,7 52:6 156:6 203:8,9 91:25
78:21
244:4
203:10 252:7
simply
sell
serum
shower
71:12 112:7
15:18 116:6
109:7,25 120:24
75:8 93:4
single
selling
services
showers
33:15 34:8
119:11 133:10 158:10
84:19
86:14 87:5,7
singled
senator
serving
showing
38:2
213:19
227:2
254:5 256:18
sink
send
set
shown
132:17
165:19,25
76:14 231:3 247:7 265:15 121:25
sir
sending
setting
shows
3:6,13 4:3,13,16,20 5:2,11
178:23
120:20 149:23 158:24
15:2 152:6
5:13,197:11,15,188:10
sense
159:1 199:11
sick
10:14 13:14,19 14:12,15,19
91:16 113:10 239:24 245:9 seven
108:16 111:1 112:20
14:24 15:22 17:18,22 18:13
sent
151:22,23 152:11 153:6 sign
18:14,20,25 19:3 21:1
6:1534:23 52:1 111:15
176:25 244:17
140:11
22:14 26:6 27:1 41:15 46:2
144:20 157:12 179:12,22 severe
signature
57:6,12 59:3 60:5 64:10,12
193:8
52:19,19 54:21 136:18
225:25
65:18,20 68:20 72:3 73:11
sentence
137:7 140:7
signed
73:25 76:24 77:4,20,24
12:24 13:7 14:20 22:9,15 severity
230:6
78:12 80:4,6,14 85:7,9,12
23:5 38:10,10,12,13 40:20 136:18
significance
85:17 86:25 87:1 90:24
83:11 96:3 100:1,2,6,7,20 shape
14:25
92:23 94:6 95:7,23 96:2,8
101:16 108:19 109:3
115:20 126:9 130:6 174:18 significant
96:21,24 97:3,8 98:15
112:11,13,15,15,17,22
sheet
219:13 222:17
104:10 106:23 108:15
115:8 117:14 123:14 126:7 18:16 79:21
silage
109:16 113:5 116:1,15
131:14 132:2,5 134:12
sheeting
125:12 164:8,13,25 167:11 117:3,7,11 125:15 127:10
135:23 136:12 142:15,19
149:15
167:13,16,18 169:1,4,15,21 129:3,5 130:21 133:25
146:4 163:19 166:3,11
sheila
170:10,14,18,21,24 171:11 134:3,5,13,15,25 135:3,8
174:3 175:8 188:5 198:11
2:13
171:13 175:24 176:20
135:19,23 139:15,18,20
208:25,25 209:8,16 210:2,3 shelf
177:3 185:20 187:2,3
140:20 141:12,24 142:5
210:8,9,15211:16,24,25
129:24 130:12
206:16
143:5,6,10 144:12,14,24
212:10,10213:2,11 214:1 shells
silicone
145:7,15,18,22,23 146:14
228:11 239:16 240:1
158:14241:15
245:7
146:15,18,22,25,25 147:3,5
247:13 251:3,10
shield
silo
148:4,25 150:6,9,22 151:4
sentences
245:8
116:13 125:14,23,25
151:9,24 152:3,12,13
21:6 23:1,15 50:10 115:12 shift
164:13 167:4,22 168:5
153:12 158:25 159:12
213:4 219:1
67:5 73:3 74:23 86:17
169:16,21,24,24 170:3,7,12 161:22 162:14,17 164:11
sentiment
245:11
171:14,17,22 172:3,6,12
166:6,10 170:8 172:15
215:4
shoe
174:21 175:2 184:18
173:11 174:6 175:7 176:2
243:13
178:2 179:9,14 181:7 182:7
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007042
[sir - standard]
sir (cont.)
skipped
someplace
speculation
184:17 186:11,12,15,19,22 101:21
5:1 79:25 129:11 136:6
10:7 28:20,22 29:6,7,9,13
188:2,19,22 190:20 192:14 slight
138:13 193:4
32:18 36:13 88:7 178:25
192:17,21 193:11,25
8:14,20 9:3,15,21 12:22 something's
speech
194:11,15,23 195:15,18,20 13:1 21:9 22:1 37:21 42:19 193:20
195:21 197:21 198:2
196:11 202:14 203:2
61:1462:7,9,10,15221:1 sommer
199:13 200:3,6,7,24 203:5
205:13,17 206:4,19 207:19 254:19 259:13
143:13 147:10
204:7,20
207:23,25 211:15 214:9,10 slightest
soon
speeches
217:7,10,16 219:4,9,16,24 76:21 141:5 190:14
238:5
194:13 200:12 204:18,23
220:3,20 221:11 223:11 slightly
sophisticated
speeching
224:4,13,18 225:3,4,5,22
14:14250:21 251:6,11,18 42:6 129:9
204:16
226:3,4,19,23 227:13,14,17 252:1,11 253:3,9,10 255:2 sorry
spelled
227:19,21,25 228:21,25
255:15,17,24 256:15,25
81:20 128:15 136:3 144:20 248:20
229:4,13,21 230:4,7,15
257:25 258:17,19,21
155:12 198:5 210:2 247:17 spend
231:8,20 232:1 233:14,17 259:23 260:10,16
sort
127:7
234:9,20 235:14 237:6
slip
90:10 167:21
spending
238:24 239:3,7 240:6 242:2 48:8,10
sorts
53:10 196:2
243:23 245:14 246:3,7,10 slug
124:8 247:9
spent
249:9 257:19,23 258:1,9
64:16,21 65:9
soup
30:7 165:18 233:11
261:13
small
196:16
spiker
sit
90:14,22 135:14 155:15 source
235:18
28:4 58:21 196:8
184:14211:12260:18
100:23
spill
sitting
smearing
south
94:21
87:16 128:23
132:16
2:13,21 236:9
spills
situation
smith
space
83:21 241:18
37:24 48:8 53:19 55:24
187:15
63:18 96:11
spoiler
57:24 58:13 61:1 62:16 so2
spaces
135:20
95:8 120:19 129:8 151:15 81:5
133:2
spokesman
152:9 166:19 179:18,21 soap
spare
203:10
196:10,13 210:22 255:6
246:8 262:10
92:24
spot
situations
society
speak
238:16,20 244:15
54:16
135:18212:2,19213:16
10:5
spread
six
sold
speaking
75:18
3:23 58:15 64:11 65:19
95:13 115:24 116:8,9 119:7 134:23
springgate
67:4 68:4,5,25 69:4 70:13 132:23 155:19 170:16
speaks
150:8,11 163:1,11,12
70:16 72:6 85:22 101:20 soles
184:6 207:8
183:23 187:15 192:12
127:3 131:13 134:2 141:22 243:9,11,21
special
193:10 202:23
151:22,23 152:11,15
solicited
60:20 61:562:1063:15 St
159:24,24 176:25 188:11
30:19
66:12 72:13 247:10 248:3 1:1,27 2:1,13,16,25 45:5
194:2 204:12,13 216:15 solid
specialist
57:16 73:16 74:6 75:1 76:5
218:25 221:12 232:2
17:15 145:12 148:6,8,15,16 59:25
76:9 79:20 85:19,23 86:10
234:13 237:25 238:2 244:2 148:16,19 169:13
specialists
86:12,13 88:1,6 92:9 94:16
244:5,6 254:5 263:7
solution
51:21
96:4 220:12 233:9 264:2,19
sixth
185:25
species
265:5,14
207:20,20,24
solve
158:15211:6
stack
size
183:7,11 186:7
specific
127:2,3
64:1681:8 89:4 211:13 solvent
120:13 136:25
staff
skeptical
243:18 244:18 245:5
specifically
180:23 235:15
203:12,17
solvents
95:17 170:4 239:15
stain
skin
245:7
speculate
215:4 216:25
45:16 81:13 82:4 84:1,4,11 somebody
21:1828:1384:13 137:16 stand
84:25 86:5 131:6 133:2,15 20:21 32:19 43:17 62:22
148:11 204:3 210:7 219:8 9:12 44:24 45:4,12 71:23
133:17 134:17 136:22
63:5 72:9 130:2,10 138:10 222:13,16 226:9,11 254:10 106:25 131:19 191:17
140:15 198:19,21 239:10
138:23 144:18 179:18
speculating
223:15
239:13 240:5 243:13,22
189:11 194:19 202:2
36:13
standard
244:19 246:5 248:1
95:10 230:24
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007043
[standards - supposed]
standards
statements
straws
suffer
228:23 231:4
39:14 199:13203:18
32:24
21:12 26:5 36:3 199:2
standing
209:10,11 217:25
stream
suffered
203:4
states
155:1
24:10 54:5 203:9
standpoint
6:18 7:20 14:5,5,17 23:5 street
sufficient
82:1
26:9 32:9 36:2 74:19 83:10 1:26 2:22 265:13
21:8 43:20 72:22 104:25
stands
88:19 91:1 96:3 116:21
stretcher
109:14 136:21 215:24
71:19 163:15 192:2
119:20 130:19 131:14
93:7,10
231:2,3
start
134:16 137:14 142:16
stretchers
sufficiently
3:5 7:6 22:4 28:16 74:19
145:9 148:5 149:1 150:7
93:9
86:8
78:5,6 133:20 145:8 263:9 152:15 154:4 156:24 159:8 stricken
suggest
started
162:15 166:1 174:12 175:5 30:10
130:1 138:1 177:16 181:10
53:19 127:18,18 139:4
177:25 185:6 187:19 189:5 strict
suggested
158:9 184:25 186:6 248:11 189:12 191:25 198:9,16
115:22 116:3 126:12,12
183:24 256:12
248:17 263:9
199:19201:12,13211:25
127:13 128:10 129:25
suggests
starting
212:18226:14230:16
130:9
230:22
18:6 86:1 181:14 185:11
232:12241:2 250:18
strike
suit
starts
256:24
98:23 123:1 134:11 141:20 92:24
196:23 216:14
stating
157:21
suitable
stat
27:19,24 113:1 122:8 198:7 studies
232:19 233:24
262:10
210:14
37:15 107:19 210:24
suite
state
stationery
215:25 249:5,18251:1,4,13 1:26 264:18 265:4,13
1:2 2:2,14,16 12:9 20:8,9
231:24
258:12
sulfuric
28:20 29:5,5 100:20 101:15 status
study
81:3,5 89:7
102:1 103:5,15 104:4 105:6 22:10,15 153:6 159:8
26:12,14 219:2 232:20,21 sum
105:10 106:24 112:1
186:18 233:8
232:24 233:2,3,8,18,24
11:19202:19
114:10 115:9 117:14 126:7 stay
257:14
summaries
130:5,20 135:17 136:20
32:4 91:13 112:21 115:17 stuff
215:17
138:24 158:3 163:19,20 stays
23:24 65:8,9 66:2 81:6
summarized
164:2 166:3 170:13 176:16 189:15
125:11,24 126:5 167:16
106:25 179:22
179:1 182:13 183:10,17,19 stepped
217:1,1 257:17
summary
197:14 198:10214:16
169:16
subheading
138:19 258:3
223:12 230:11 264:3
steps
74:19
summation
stated
185:15
subject
148:14
14:3 19:19 82:14 88:11
sterilization
9:6
superimpose
92:19 120:16 124:5 126:16 237:11,19240:9,11
subjected
41:23
128:10 131:21 160:7
stimulated
55:5,17 81:7
superimposed
164:18 189:18 210:24
233:18
submitted
21:13 36:4 40:6
219:21 224:5 242:21
stipulate
113:19
superintendent
259:12
63:2,8 177:7
subparagraph
220:11
statement
stipulated
141:22
supervisor
10:10 14:25 15:2 16:8,11
46:10 47:13
subsequent
29:25 44:14 235:16
16:14,19 17:2 26:16 27:5 stipulating
219:2 234:6 262:12
supervisors
27:16 29:8,8 30:10,23 31:4 47:11
substances
33:19 34:13,22 60:16,17
42:16 86:19 90:25 92:9 stood
228:3
supplemental
102:5 106:20 110:21
131:22
substantial
257:21,22 258:6,16,18
113:16 117:23 119:22
stop
42:19
259:12
129:4 140:1 145:14 150:15 92:4 121:21 155:4 263:12 substitute
supplied
150:21 151:3 159:1 190:15 stopped
160:9,11,17 161:1
74:21
196:8 198:17 199:6,14
104:11 145:19,19
substratum
support
201:22 207:25 208:3,5,8,14 storage
21:13 36:4 41:23
230:24
208:19,23 209:10 211:18
167:13
successful
suppose
216:19218:9 219:14
store
154:12 175:23
86:21 92:24 130:10 142:24
234:25 235:5 236:1,15
129:24
sued
236:17
237:16 241:5 247:21
straighten
225:1
supposed
250:18 259:16 264:9
20:24
15:11 28:13 153:3 263:8
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007044
[supposement - tetrachloride]
supposement
systemically
target
terminate
20:3
107:20,24
188:25
190:2
supposition
systems
targeting
terminated
50:5 60:11
190:17,22
188:24
189:6 190:4
sure task terminating
5:3 9:14 19:19 55:8,13 104:18 111:14 112:22 118:13 119:23 120:17 122:1 149:15,19 155:23 156:12,12,19211:23 215:18 217:24 223:18 234:1 245:18,21 249:22 252:4 263:17 surely
table 19:16 83:24 84:18
tactic 28:10
tailored 151:14 152:8
taked 185:21
taken
224:7,8,8,12 228:7,9,14,15 190:8
228:16,16
terms
taxed
84:8 107:23 158:1
265:1
terphenyl
tcc 5:20 98:7
262:10
terphenyls
tears
5:17 131:22
200:22
test
teaspoonful
7:23,23,24 8:15,21 9:5,6
17:15,16 surface
81:9 145:13 243:22 246:5 surfaces
16:3,4,21 26:10 31:4 41:9 52:2 80:11 82:7 115:5 133:22 147:16 151:20 155:16,16 191:23 198:18
90:21,22 technical
242:10 telephone
10:13,17,19,25 11:1,3,9 12:25 14:2,21 24:18 89:24 126:2 153:7,10 155:14 156:10,17 185:3,4 203:16
83:24 165:8,10 surgically
84:20 surmise
146:6 surprised
229:16 264:12 talk
35:9 53:18 56:23 57:16,20
62:20,24
204:1 252:7 259:1,2,4,8
tell 260:19 261:10
3:20 5:4 10:16 47:16 60:8,9 tested
59:1460:1761:1,4 62:18 63:25 67:1 97:24 113:7 153:21 154:7 163:25 180:5
60:22 64:20 66:12,19 67:6 6:12 16:1 101:19 125:13
72:14 75:14 80:19 101:5
159:9 219:21
102:12 127:12 133:9,13 testified
3:8,9 surprising
182:3,6 184:13 185:5,18 196:15201:24
100:3 suspect
121:12 suspected
54:24 55:3,4,7,20,22,23,24
talked 29:25 30:15 34:3 35:23 56:25 58:4,4,14 84:18 110:10 135:11 176:13,14 184:10,23,24 185:2 202:5
139:8 141:8 143:11 148:7 3:16 34:21 35:6 53:7
153:12 154:24 155:5,18
260:15
156:9 161:10 175:22,23 testify
176:10 178:6,15 179:17
30:11 98:14 100:2 183:1
180:24 191:8 196:25 255:7 195:7 197:20 213:13
telling
225:19
103:6 133:16 170:13
testifying
56:2 262:8 swallow
251:25 talking
182:20 234:23 247:5,5 temperature
126:18,22 204:18 testimony
241:4 swelling
13:8,11 238:3,6 244:7,8 switch
37:10 sworn
9:15 16:17,24 21:16 23:3 23:24 24:14 27:2 28:12,16 31:20 33:17 37:5,14 38:4 39:10,16 44:1 53:4,11 54:13 57:10 64:20,24 65:8 66:19 80:8,8 81:2 84:7
81:10 126:5 131:4
24:12 30:2 41:7 89:8
temperatures
119:19 127:7 128:11
15:12 17:17 45:18 83:22,25 148:10 171:22 185:23
84:2 95:16 96:12 126:6
204:19 251:23
131:5 133:1
testing
temporal
6:10,11,15 101:19 103:19
2:10 symptom
85:19 93:15 94:5 96:17 99:24 100:15,18 101:23
124:10 temporary
104:23 117:15,16,20,24,25 118:2 119:11 132:2,8
48:15,16,1849:13239:19 symptoms
48:11 49:20 54:5,6 57:13 198:23 synergism 11:15 synergistic 11:12,22,25 12:4,10 15:13 system 63:19 135:5 196:7 systemic 6:19 95:14,18,21 108:13
102:24 103:18 112:15 119:6 124:16 129:13 155:23 161:23 167:8 180:11 181:21 185:3 194:19 196:16211:19 214:23218:15,19223:18 235:3 242:24 243:2 252:4 253:22 255:6,12,14 talks 83:23 84:9 201:25 tape 114:21,23 133:24 151:18
95:10
153:13 159:13 185:15
ten 188:17211:5 257:11
49:2,6 78:6 83:3,5 98:23
261:18
99:2 153:21
tests
tense
156:13,14,17 174:5 184:25
130:8
185:11 203:1,7,12,15,20,22
ter 203:25
5:23 tetra
term
219:2
21:1791:5 101:10 155:15 tetrachlorbenzenes
155:19,22,22 156:3,11,15 219:17
173:24 185:4 208:3 209:17 tetrachloride
121:6 133:8 136:24 140:3,9 140:11,13,14,17221:15
191:19263:6,14 tar
50:21
211:4,11 233:7 243:3 261:18
7:22,23 8:4,21 9:1,9,18,23 10:2,12 11:1,4,12,22 12:24 14:2,21 15:6 22:11 23:20
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007045
[tetrachloride - toxicity]
tetrachloride (cont.)
think (cont.)
three
today (cont.)
24:1,8 25:5,16 26:4,6,8,9
181:11,13,18 182:2,9,25
5:23,24 7:3,19 22:3,10 24:4 127:8 134:8 147:25 190:22
26:13,22 38:7 39:13 40:4,9 183:4,16 184:5 188:19
38:21 70:8,9,12 73:4 74:18 191:6 195:6,23 196:8
60:8,12,15,21,24 61:17
189:2,10 190:7,10 191:11
83:10 85:21 88:11,15,20
208:10 210:24 225:19
62:10 63:13,23 64:8,15
191:18 192:8 193:5 197:4,7 89:3,9,13 91:2 92:1 94:1,1 234:10 248:23 249:14,21
65:5,13,21 66:14,16
197:9,25 198:13,14 201:3 94:7,7 103:4 105:7 106:21 today's
tetrachlorides
202:2,19 203:19 204:5,24 151:7 154:4 160:5 164:3,8 249:4,24 250:2
66:10
204:24 207:11,13,16
167:6 177:9 194:25 199:17 told
thank
208:17,20 210:7,24 211:7 199:18 206:5 220:21
28:8 44:11,13,17,21,22
63:1073:9 191:22 210:18 212:9 213:21 214:3 215:8 221:20,21 223:8 235:17
48:11 59:22 102:13 104:2
thanks
217:10,23 218:9 222:17
240:17 257:20,22 263:18
156:1,5,7 157:16 158:9
227:9
227:9 229:14,25 234:4,12 throat
169:11 174:17 178:17,18
theirs
234:14 235:19 236:6,11
94:22 95:4,9,18,21
185:14 242:3 262:12
246:19 262:8
239:13241:7,13,19242:7 throdahl
tolerance
thin
243:24 244:11 245:15,17
143:18 147:11
70:22
133:12 161:8
246:17 247:24 248:5,12 throw
tom
thing
249:16251:9,19252:18
72:19
70:24
12:6 20:18 23:23 78:10
253:22,24 254:8,16 255:22 throwing
tomorrow
93:3 94:20 106:17 127:25 255:22,25 256:1 259:5,6,20 54:16
200:11 258:14
136:23 169:13 180:3
260:1,3 263:7,9,13,14
thumbed
ton
197:21 218:21 247:1 256:4 thinking
73:24
170:11 171:12
259:5,24 263:16
100:25 101:4 130:3 153:15 till
tons
things
thinks
27:22 114:19,19 197:2
170:10 171:11
35:9 52:4 61:24 63:4 81:11 71:3,21
263:7
top
89:6 92:17 106:8 113:2 thinning
time
5:8 7:3 64:21 77:24 79:13
139:12 161:6 180:22 198:7 241:15
8:16 20:25 23:14 30:7
79:14 98:3 99:23 146:17
219:13234:15261:5
third
45:17 50:4 51:7 52:20
150:11 162:16 187:19
think
7:12 8:11 14:6 21:6 38:23 53:10,25 55:12,24 57:22
196:24 199:16,18231:10
3:19 9:6 10:7 12:22 15:6
38:23 95:24 126:7 134:11
66:23 67:1971:15,17,18 tore
18:3 19:12,25,25 23:12,16 134:12 189:5 230:9,16
74:22 75:4 76:16 86:17
176:5
24:18 26:7 28:8 31:24
257:8
94:9 127:6 131:13 133:20 total
32:11,20 33:22,23 34:17,18 thomas
138:21 140:25 143:15
214:5 228:4 265:6
34:20,25 35:8,9 36:13
2:23
145:16 153:15 157:23
totally
37:13 38:5,23 41:6 44:18 thorough
158:9 160:1 163:6 165:19 123:2 213:2,4 214:5
53:8,9 55:15 59:15 60:3
47:1
166:18 168:10 169:2
toto
61:25 63:1 65:1 68:2 69:18 thoroughly
178:19 180:11,21,23
215:24
69:20,22,23 70:1,19 71:3,4 246:8
185:10 191:4 196:2,18
touch
71:7,18 73:1,23 75:22
thought
205:9,25 207:5,11,12 211:5 224:6
76:16,25 78:23 79:9 80:16 8:16 24:16 39:19 80:2
212:20 213:16 214:8
touched
83:20,23 86:9,10 87:6,7
89:15 102:12,20 107:12
218:13233:11 235:11
122:24
88:4,17 90:5,18 91:16 93:5 127:1 144:20 146:8,19
243:3,12 244:1 245:18
tour
93:9 100:18 102:2 105:20 158:19 159:14,16,25 160:1 246:20 248:14,20 254:19
85:16
106:17 107:22 108:16,25
176:20 188:3 189:3 191:6 times
toxic
109:22,25 113:9,13,18,21
193:24211:22212:19
15:3 24:15 70:8,9,12,14
15:25 16:14,15 22:13,22
114:14,19 117:21 119:10
213:16 226:7 259:11 262:1 73:5 105:24 106:1 135:11
38:8 65:6 85:1 86:10,13
122:4,16,19,20,21 124:7
263:16
176:25 177:9 215:14
107:3,20,24,24 108:6,13,18
126:19 131:12 133:4 137:8 thoughts
248:23
109:23 110:22 112:18
137:10,16,19,21 138:21,22 61:4
tins
117:22 129:17 142:14
139:9,9,21,21 140:23
thousands
86:2
211:1,12220:24 221:12
142:14 143:25 144:2
32:21,21
titled
228:2 240:2
145:19 146:10 147:5,23 thousandth
6:18 228:22
toxicity
148:1,10 149:14 150:3
90:14,20
tlv
6:14 11:20 74:19 79:17
152:18,19 154:1 156:22 threat
63:24
80:2 81:24 98:4,8,9 100:4
159:14,22 163:23 164:23
212:21 213:17228:5
today
100:16 103:19 108:5
165:14 172:1,25 173:23 threatened
28:5 61:24 70:18 89:8
117:15,24 132:8 142:12
177:3,9 179:1,6 180:3
31:21
98:14 100:2 106:10 126:18 203:23 211:9 218:22
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007046
[toxicity - use]
toxicity (cont.)
truth
u unit
220:21,25 222:2 235:20
80:19201:13,21
u.s.a.
81:4 136:8
236:3 251:13 toxicological
try 86:5 107:8 258:13
124:17,18 ultimate
united 32:8 74:10 119:20 130:19
4:8 10:21 42:7,8 155:14 trying
188:25
156:23 166:1 174:12 175:5
156:10 259:18 262:7 toxicology
10:5 30:11,1454:15 119:13 umbrella
181:11 200:4,21,24 201:1
86:14
177:25 185:6 189:12 241:2 units
250:15
204:5 213:23 260:3 262:20 un
149:10 190:17,24
traced
tubs
88:13
university
164:7 track
130:13 tucker
unable 25:4 49:23 53:20,22 56:13
136:7 unknown
32:4 205:5
229:2,4
unbiased
137:17 170:17 221:2,13,21
tract
tumor
121:5
unloads
198:19
252:11 255:8
unbroken
125:24
train
tumorigenic
240:5 243:22
unnamed
107:11
250:21 251:6,11,18252:1 unconscionable
32:20 213:19 214:2,4
trained
252:11 253:3,10 255:3,15
122:20
unprofessional
86:8
255:17,25 256:15,25
uncontrolled
204:22
transcript
257:25 258:17,19,21
48:1 51:6
unpublished
264:15 265:1
259:13,23 260:4,6,17
undated
230:19
transcripts
tumors
223:24 224:21
unrefuted
265:8
121:1 215:12260:18
undefined
9:13
transfer
tunnel
84:8 107:23 158:1 210:4 unrelated
81:4 135:5 136:8 149:10
263:16
underneath
16:9,12 89:9 123:23
190:16,22,24 196:7 transfers
turn 4:14 5:7 20:25 73:9,17
220:22,24 underscored
unsafe 42:11 43:10 44:7 75:13,19
191:4 transformer
74:16 77:3,16,19 79:11 89:12 92:6 95:22 97:2
239:21 understand
75:22,23 82:21,24 83:6,7 86:23 87:1,4,7,9,15,18,19
35:22 194:6 244:12
133:18 134:2 139:22
11:8,8 26:11 42:24 55:15
88:9,14,16 92:20,22,25
transformers
140:19 141:19 143:3
60:2 70:1971:9 121:10
93:6,10,12,21 94:9 242:4
30:2 35:25 149:9,10 190:16 144:13 145:20 146:12,21
123:8 202:4 240:20 258:19 untrue
190:21 191:1,2 236:10 transpose
148:24 150:5 151:6 162:11 259:22 262:20
182:8 186:10 195:18
understanding
204:16 unusual
90:19
205:10 206:3,17 207:19
71:11 194:16216:10
95:8,9
treated
220:2 231:6 249:3
224:11
unwanted
8:3 27:7
turning
understood
98:10 252:17,18
treating
206:20
40:15,16
upper
29:1 twist
undiagnosed
77:7 162:22
treatment
119:13
29:4 138:3
urge
246:5
twisting
unfair
204:22
treon 90:2 97:24 101:4
treon's
122:18 tying
51:12
34:25 unfortunately
41:5
urine 215:3,3 216:23,24
use
100:25 101:9
type
uniform
15:3 57:10 59:13 81:6
trial
42:16 57:4 68:14 69:3,8
8:9
94:22 101:16 106:16
112:25 209:24 214:12
108:21,23 109:2,9 112:3 uniformly
115:17,24 116:22 118:25
tried
123:18 137:24 145:10,17
75:18
119:7 124:12,21 130:11,12
189:3 trouble
159:21 231:25 types
unintelligible 121:9,13 122:16
130:14,25 131:1,3 134:22 144:19,19,20 149:22 150:4
121:19 157:19 226:20 true
109:19 typewriters
union 75:4,6,9 76:6
159:17 162:2,4 178:7,16 180:16 184:8 189:13,19
86:21 105:2 122:4 195:7
60:14
unions
192:3 193:22 223:17
198:20 208:19,23 236:20 typical
76:13
230:18,19 234:23 236:19
237:12,13,13,15,16240:10 239:19
unique
236:22 237:11 240:9 243:3
240:12,16 251:21,22
typographical
108:4
244:22 245:4,10 246:23
101:2
255:23 261:18
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007047
[user - win]
user
view
wanted
weed
157:15
15:24 114:12,12,24 115:10 45:10 81:21 93:6,7 103:17 46:20
users
115:11,14,23 262:5
103:24 234:5 242:8 248:4 week
129:18,20 157:11,15 189:6 views
251:20,22
76:1
190:1,4,9
228:5
wanting
weight
uses
vinyl
103:22
5:10 8:9 199:2
125:1 126:14 150:20,25
149:15
wants
welcome
179:7 189:7 190:17,22
Virginia
71:19 175:15210:11
31:6,6
206:11
46:1,4,11 47:8,15,23,25
255:19
welfare
usually
49:9 51:24 53:16 54:1
warn
79:19 232:17
91:18____________________ 57:25 58:17 236:10
39:7 68:15,17 72:23 76:22 went
v
vague 33:7,20 34:11,17,25 42:23 62:13 63:21 121:9 155:21
valid 71:11 255:20
validity 70:2
valuable 212:20 213:17
value 171:14,16 172:1
valued 170:10
vapor 89:23 198:19
vaporize 90:21
vapors 91:1,6 135:5 136:22 240:4
variables 247:9
varies 108:5
varieties 46:19
various 89:1 182:24,24
varying 54:23
vast 110:5
ventilation 63:19
verbally 111:23 176:11 184:4
verdict 114:5
vertigo 48:18 50:16 56:5
vessel 48:3
vice 143:15,16,16,17,17,18
volatilize
91:8,14,20 92:5 95:2,12,17 6:5 58:24 85:16 127:19
83:25 126:5
132:21,22 133:7 248:1
144:21 149:17 154:25
volume
warned
163:13 183:16 185:10
1:1379:15
95:15
262:25
vomiting
warning
west
199:2
39:14 68:22,24 69:10 81:24 45:25 46:4,11 47:8,15,22
von
warnings
47:25 49:9 51:23 53:15
56:24 57:8,10
16:5 17:1326:2 28:15
54:1 57:25 58:17
VOS 33:18,21 34:12,21,23,24 westinghouse
217:4,12
129:17 131:1,3 158:11
27:21 28:17 33:15 34:4,22
votes
wash
35:7,23 41:19 42:4 43:7
200:5,25 201:1 204:4
74:23 75:21,22 84:25 85:1 59:19 61:3 62:20,25 66:20
vs
244:19
102:18,25 111:4,9,14,16,19
1:6 2:6 264:5_____________ washed
111:19,24 129:10 135:1
w
wait 17:21 20:11 64:25 114:17 197:2
wales 74:11
walk 247:8
walked 234:3
wall 169:13
waller 1:24
walls 164:15 169:18
walnut 2:21
want 5:7 6:11 31:21 34:19 40:21 40:23 41:2,24 62:3 63:3 69:4 71:14 103:15 104:3 108:17,18 112:11 113:24 114:14 118:17 122:21 156:17 173:16,17,18 175:16,16 177:15 179:3 180:5 188:12 193:22 197:19 198:5 204:25 209:21 212:7,12 241:6 254:6
241:19,21,24 242:22 246:8 157:10,11,12,21 224:24
washing
235:15 236:1 237:8 239:2
245:12
we've
waste
28:11 33:22 38:16 72:18,19
110:8,15 117:17,21 118:1,4 78:13,14 94:3,18 98:18
205:9
104:2 109:22,23,23 115:3
wasting
127:4,4 132:5 137:10 151:5
254:19
180:22 186:5 197:23 204:5
water
218:23 219:24 222:17
93:4 178:8 180:6 230:17
244:5 254:22 255:1 263:2,7
245:6 246:9
whatsoever
waters
29:14 123:5 206:13 238:1
188:18
wheeler
waxes
111:17 134:23 136:4 137:2
149:14 189:23
144:18 163:23 164:6,9,15
ways
180:2 184:11 232:5 235:18
167:14 169:12
whereof
wear
265:15
75:21,24 94:12 242:13,18 whichever
243:14 246:23
21:25 163:6
wearing
widely
243:10,20
135:16
wears
widespread
73:3 116:22 140:8
weddell
wife
77:8 121:22
wedell
william
77:13
74:6 163:17
Wednesday
win
3:7 200:5,25 201:1
147:7,8,11 163:4
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
LEXOLDMON007048
[winning - zip]
winning
worker
wpapa
yetching
204:4
27:12,17 32:20 33:15 34:3 163:15
199:5
wiser
34:8 35:18 40:5,8 42:12,13 wright
yusho
257:12
48:22 49:1,4 59:19 60:5
249:17
191:4 199:5,8
withdraw 247:18
62:8,21,24 63:8 64:5,8 67:3 wright's
68:21 75:23 84:11 87:25
261:24
z
witness
120:19 132:9 242:4,5,12,22 write
2:1021:1823:1024:12,19 workers
58:25 59:4 97:21 133:5
3:8 233:3 234:6,7
28:20 32:1,5 39:18,21 56:8 67:24 69:21 70:20 79:7 107:8 128:22 133:19 137:16 148:10 149:19
27:3,7,19,24 28:5,6,13,17 29:1,20,24 30:15,16,20 32:15,21 33:5 35:23 41:21 43:10,16 44:9,16,21,25
161:11 162:18 186:3,4 235:10 writes 130:10 235:16
184:2 zip
163:17
150:1 157:4 160:23 172:25 45:1,4 46:3,11,16,22,23,24 writing
181:12 182:6 204:3 207:1
47:8,20 49:2,9 51:22,23
104:21 111:23
213:7,24 219:8 222:7,12,18 53:15 54:5,11 55:5,16 56:5 written
228:12 265:15
57:3,25 68:18 75:5 76:9,16 57:23 74:8 126:17 136:7
witnesses
76:17 87:10,20 89:9 91:8
143:1 144:17 194:4 217:4
204:25
91:12,16,20 94:9,11 95:2
217:12 220:6 226:16,25
women
105:1 111:7,11 125:10,17 256:14
216:25
133:5 137:9 157:22 158:8 wrong
word
158:12,17,24 229:6 232:22 68:15 172:25 181:12 198:1
55:21,22 59:14 86:10
233:9 240:15 245:6 248:13 221:4 222:17
105:19 106:11 108:24,25 worker's
wrote
128:25 134:12 138:11
101:14
83:10 85:4 105:10,14,15,17
192:24 207:3 208:17
working
105:20,24 106:14,17 110:6
254:19 255:14 259:23
27:22 32:8 35:24 44:10,17 111:17 127:13 128:17
wording
46:16 66:7,20 78:2 82:11
130:3 143:1 160:12 165:18
250:25 251:7 253:20,25
82:18 91:17 93:18 98:22
172:24 176:12,14 177:3
254:12,17 256:5
101:14 105:1 120:25
178:12,19 183:21 225:25
words
168:11 180:20 195:6
231:12251:7 256:13,18
10:5,6,8 23:11 81:1 95:25 196:12 224:11 225:18,22
257:15258:11
98:4 101:19 115:13 118:12 233:1 237:5 244:18,19,20
118:16,17 119:13 122:17
244:21 248:11,18
y
128:16 136:1 148:13 178:11 189:14200:19
workmen 38:3 135:24 136:14 243:17
136:7
210:4 213:18,23,25 214:2 workplace
235:2 260:14
43:6,7 58:16 60:10,18
9011 11 11 11
work 28:1242:11 43:10,14,15 44:6 54:24 56:19 58:20
72:1484:11 119:12,16 158:7 234:22 236:18 works
18:6 20:1867:12 114:16 119:9 192:11 212:8,13
59:21 60:7 73:3 80:3 83:24 86:6 236:9 238:2 84:18 88:5,14 90:2 97:23 world 97:24 100:3 101:9 103:6,8 27:14 236:2
19:12 85:19 87:24 101:7,21 149:3 200:9 211:5 247:23
103:9,10,12,18 104:4
worldwide
105:11 110:11,16 111:1,1
149:2
111:11 112:20,21 123:25 worn
124:11 132:9 224:9 230:22 242:22
233:11 236:4,7 239:23
worried
241:23 245:11,12 249:1
114:1 227:6
252:6 259:6,18 261:23
worry
262:7,7
108:20 112:2 113:23,24
8:18 10:20,24 27:4 29:11 43:17 59:18 67:21 88:4,8 88:11,15,20 89:3,9 104:11 104:12 105:18,20 107:9 114:5 128:17,18,25 160:24 184:1 200:24 203:8 204:12 204:13 206:6 238:1,2
worked 27:4 43:12 52:20 67:5 78:20 79:25 89:7 122:3,3 154:2 236:12 248:24
123:15,17,19 124:5,8 worse
24:4 251:11 worth
138:7 187:5
22:18,24 23:19 24:9 25:13 26:5,22 27:3,8,13 28:21 29:3 37:25,25 110:2,3 yesterday 107:10 148:1 225:14
Kelly, R. Emmet M.D. (fmr Mons Med Dir) in BROWN Volume 5
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