Document rKEBqLZNjeOQpwoY8MQL1kJG
FILE NAME Talc TALC
DATE 2010 DOC TALC158
DOCUMENT DESCRIPTION Legal - Deposition of Joseph Simko
SUPREME COURT
ALL
WITHIN THE STATE OF
COUNTIES NEW YORK
IN RE
NEW YORK CITY
ASBESTOS LITIGATION
This Document Applies To
SHELLY BERNARD KAREN TEDRICK
INDEX NOS 107211/08
190078/08
VIDEOTAPED ORAL EXAMINATION OF JOSEPH SIMKO VOLUME I
TAPED TRANSCRIPT
of the deposition of JOSEPH SIMKO called
for Oral Examination in
action said deposition
the above entitled being taken pursuant
to Rules governing Civil Practice in the
Courts of New York by and before SERAFINA R.
ZINCKGRAF CSR RPR a Certified Shorthand
Report Registered Professional Reporter Notary Public at the LAW OFFICES OF LEVY PHILLIPS & KONIGSBERG L.L.P. 800 Third
Avenue 11th floor York New York 10022 on December 2 2010 commencing at 10:11 a.m.
Page 1
Priority Court Reporting Services Inc.
25B Vreeland Road Suite 301 Florham Park NJ 07932
718-983-1234
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Page 2
| 123 APPEARANCES APPEARANCES
2
IT IS HEREBY STIPULATED AND AGREED
3 by and between the attorneys for the
4 respective parties hereto that filing
800 Third KONIGSBERG i 4
PHIL IPS
KONIGSBERG KONIGSBERG L.L.P
| 5 New York NewYork 10022
5 sealing and certification of the within 6 Examination Before Trial be waived that all
6 AttorneysAttorneyPs AlUa DRiEYnPtEiRfLfMAN RAPHAEL ESQ 7
7 objections except as to form are reserved
8 to the time of trial
8 QUINN South URQUStrct HURQAUHRARTT SULLIVAN LLP
9 Floor
9
IT IS FURTHER STIPULATED AND
AGREED10 10 that the transcript may be signed before any
Los Angeles California 90017 10 BY JD HORTON ESQ
Attorney for Defendant
11 Notary Public with the same force and effect 12 if signed before a Clerk or Judge of the
11 Palmolive Company
12
13 Court
13
& QUINN EMANUEL URQUHSA ULLR IVT AN , LLP
14
IT IS FURTHER STIPULATED AND AGREED 14 51 Madison Avenue 22nd Floor
15 that the within examination may be utilized
16 for all purposes as provided by the CPLR and
15 New CHRISTINECHUNGEES SQ Q
AND
17 Part 221 of the Uniform Rules for the Conduct
ANNEfor the Defendant 18 of Depositions
AGREED 19
IT IS FURTHER STIPULATED AND
Attorneys
17 Palmolive Company and Joseph Simko 18
20 that all rights provided to all parties by
19
21 the CPLR shall not be deemed waived and the
21
22 appropriate sections of the CPLR shall be 23 controlling with respect thcrcto
ALSO PRESENT 22
MR JOSH DISCHINGER
24
IT IS FURTHER STIPULATED AND AGREED23
25 by and between the attorneys for the
25
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2 respective parties hereto that a copy of this
3 Examination shall be furnished without
4 charge to the attorney representing the 5 witness testifying herein
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INDEX
WITNESS DIRECT CROSS REDIRECT RECROSS JOSEPH SIMKO
By Ms. Raphael 7
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EXHIBITS
NUMBER Simko Simko
DESCRIPTION
Notice of Deposition
Document Bates
PAGE 10
82
CPC000039651
3966 3967 and 3961
Simko Defendant
172
Palmolive's Amended and Supplemental Responses of June 2 2010 Plaintiff's Discovery
Requests
Simko
Document Bates
No. COL 00126
252
Priority Court Reporting Services Inc.
253 Vieeland Road Suite 301 Florham Park NJ 07932
2 Pages 2 to 5
718-983-1234
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Page 118
NH
Simko - direct
2 than Cashmere Bouquet
W
MR HORTON Objection asked
CA
and answered
CA
A. I don't know
6
Q. you know if -- but you do
7 know that Colgate was manufacturing Cashmere 8 Bouquet at this time is that right
9
A. Yes oh yes
10
Q Do you know if where Cashmere
11 Bouquet was manufactured at that time
12
MR HORTON Same objection
13
A. Well
14
MR HORTON You can answer
15
I'm sorry
16
A. At that time I didn't know
17 where the manufacturing site was you know
18 at that time I subsequently learned where
19 they were There was one in Jeffersonville
20 Indiana and Jersey City New Jersey
21
Q. And did you learn that as part
22 of your work at Colgate
23
A. As part of the talc
24 investigation I get background information
25Okay I'm going back We were
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Page 120
Simko - direct
test that is were done on Cashmere
Bouquet
A. I don't understand I don't understand what you mean
Q. Did you keep any records of any tests that were done on Cashmere Bouquet for
asbestos in talc
MR HORTON Object to form
You mean in the file
MS RAPHAEL huh in the
file
A. The file probably contained work requests from product development people and copies of that in the file There was some of them How complete I don't
Q. Any result letters or result -A. Well there would be --
MR HORTON Let her finish
Q. in that file Sorry A. Well copies of the service work request forms coming from people like Schebese or Schubert When it's reported
back to them we always kept a file in the
Analytical department to begin with and I
Page 119
Page 121
1
Simko- direct
2 talking about letters or classes of letters
3 that might be in your file We talked about
4 McCrone Any other classes of letters that
5 you might remember
6789
A. No no
6789
MR HORTON Make sure -- let
6789
her finish
6789
A. No.
10
Q. Anything to or from the CTFA
11
A. There had to be some over the
12 years but at that time no
13
Q. Any letters to or from the FDA
14
A. I don't recall any from the FDA
15
Q. Then you said there were reports
16 of work done by our crew to support the
17 product development people Do you remember
18 any reports that might have been in your
19 asbestos and talc file
20
A. No.
21
Q. Do you remember that there were
22 reports
23
A. I don't really remember that
24 no no
25
Q. Did you keep any records of any
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Simko - direct
probably had some of those in the file but you know it wasn't something that I was really looking out to do no
Q. And how long did you keep that
file
A. Until the day I retired When I
retired
Q. What did you do with it when you
retired
A.
Q.
file
Discarded it destroyed it Did anybody ask you to keep that
A. No nobody asked me to keep the file no
Q. Had you ever given copies of what was in that file to anybody at Colgate
A. Well if it had any correspondence in it then it would have been copies that I kept correspondence that
sent out So would have to say yes
Yes to that For example McCrone reports they were addressed to me They weren't
CC'd anybody Did I make copies of them
Obviously I reported it to appropriate
31 Pages 118 to 121
Priority Court Reporting Services Inc.
25B Vreeland Road Suite 301 Florham Park NJ 07932
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Page 226
Page 228
123
Simko - direct
123
A. Yeah
3
Q. Was there ever any literature
4 about asbestos
5
MR HORTON Object to form
6
A I don't recall
7
Q. Or asbestos in talc
8
A. can't say there weren't but I
9 don't recall
10
Q. After your meeting with
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/7 |8
.
9
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Simko - direct
Q. in relation to asbestos in talc if they were part of the procedures you were talking about
A. They had to be part of the
procedures DidI know any specific items
No.
Q. Did you ever speak with any body else outside of Colgate about asbestos in
talc
11 Johnson & Johnson did you review any 12 literature medical articles or anything
13 about asbestos in talc
14
A. Gee I don't remember that I
15 can't remember what I did after that I
16 just can't
17
MS RAPHAEL There's five
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13
14 15
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MR HORTON Object to form Q. Other than who we spoke about already today
MR HORTON Object to form
overboard
A. recall
can't recall any I can't
18
minutes left so let's just take a
19
break
20
Recess occurred
21
Q Do you know when Richard Turse
22 started doing XRD in your department
23
A. In the late 70s
24
Q. And did someone take over for
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Q. Any other government agencies A. No no
Q. Did you ever -- Did Colgate ever
share test -- Colgate's testing of talc with
the CTFA
MR HORTON
foundation
Object to form
25 him doinXRgD ever
25 Page 227
A. I don't recall that we did
a
Page 229
1
Simko - direct
2
MR HORTON Objection lacks
3 foundation
4
A. No Briscese came back and did
5 some but no one else
6
Q. That was it
7
A. Yes
8
Q. Until you left
9
A. That's correct
10
Q. And did there come a time when
11 Susan Williams started doing microscopy
12
MR HORTON Objection
13
foundation
14
A. Yes
15
Q.
16 talc
And did she do microscopy on
17
A. I don't know what she did in
18 microscopy
19
Q. But the microscopy on talc was
20 part of the procedures that you were talking
21 about right
22
A. Yes
23
Q. So do you know anything about
24 what the microscopy lab did --
25
MR HORTON Object to form
12345 12345
12345
, 12345
12345
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Simko - direct
Q. Did Colgate ever share Colgate's
testing of
with the
?
MR HORTON Same objection
A.
knowledge
Q. Was the Analytical department
divided into sections
A. Yes it was Q. What were the sections in the
Analytical department
A. There was one devoted to
competitive product analysis There was a wet chemistry section There was a separation section which is where chromatography was There was an
instrumental section where I was
Q. That's where you worked
A. Yes
Q. You were the section head of
instrumental
A. Mainly instrumental yes Q. Were you ever in any of the
other sections
A. No.
Q. Was the Analytical department
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Page 302
EN
Simko - direct
2
A. Yes
3
MS RAPHAEL I think I'm out of
5 time kind of hear a bell MR HORTON It was a good time
10 rather than starting something new MS RAPHAEL Thank you very
&
much
WO
Deposition concluded at 4:54
10 10
pm
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1212
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JOSEPH SIMKO
17
1918
Subscribed and sworn to
before me on this
day
of , 2011
NOTARY PUBLIC
Page 303
22
t
FA
3 CERTIFICATE
I SERAFINA R. ZINCKGRAF a
4 Certified Shorthand Reporter Registered Professional Reporter and Notary Public of the State of New Jersey do hereby certify
6 that prior to the commencement of the examination the witness was duly sworn by me
10 to testify the truth the whole truth and
10 nothing but the truth
1211 I DO FURTHER CERTIFY that the
12 foregoing is a true and accurate transcript 13 of the testimony as taken stenographically by
and before me at the time place and on the date hereinbefore set forth to the best of
my ability
I DO FURTHER CERTIFY that I am
neither a relative nor employee nor attorney nor counsel of any of the parties to the
action and that I am neither a relative nor
employee of such attorney or counsel and that I am not financially interested in the
action
SERAFINA R. ZINCKGRAF CSR RPR
License No. XI01637 _ een iL
Priority Court Reporting Services Inc.
Vreeland Road Suite 301 Flornam Park NJ 07932
77 Pages 302 to 303
718-983-1234
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