Document rexbxnVkEbKReDRBEMX0neYp7
FILE NAME Allied Signal Bendix ASB
DATE 1997
DOC ASB001
DOCUMENT DESCRIPTION Legal - Excerpts - Plaintiff's Responses to Interrogatories
litigation claims exposure and for that reason the formulation of a full and accurate answer is not possible Further this Interrogatory is vague ambiguous overly broad unduly burdensome oppressive irrelevant time consuming and oppressive and not reasonably calculated to lead to the discovery of admissible evidence
Subject to and without waiving said objections although AlliedSignal does not believe
there is any health hazard associated with the proper use of its friction products since October
of 1973 in recognition of OSHA regulations concerning asbestos exposure a warning label has been placed on all cartons and boxes of containing friction products shipped to customers AlliedSignal and its predecessors have complied with OSHA warning regulations
even though it has never been determined that exposure to friction products results in an
exposure to asbestos fibers equal to or in excess of OSHA exposure limits for asbestos fibers
From October 1973 until August 1986 the warning label read as follows
CAUTION CONTAINS ASBESTOS FIBERS
AVOID CREATING DUST BREATHING ASBESTOS MAY CAUSE
SERIOUS BODILY HARM
From September 1986 until the present the warning label reads as follows
DANGER CONTAINS ASBESTOS FIBERS
AVOID CREATING DUST CANCER AND LUNG DISEASE HAZARD
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11 Identify by date issued patent number patent application number and product name every patent for asbestos free products held by issued to or applied for by you or by any of your employees
DEFENDANT ALLIEDSIGNAL INC.'S OBJECTIONS AND RESPONSES TO PLAINTIFFS FIRST SET OF INTERROGATORIES - PAGE 16
02265 09931 LIT 207995
RESPONSE AlliedSignal objects to this Interrogatory on the grounds that it does not focus on relevant
time period or product identified as a product to which the Plaintiff in this litigation claims exposure and for that reason the formulation of a full and accurate answer is not possible This
Interrogatory is vague ambiguous overly broad unduly burdensome oppressive irrelevant
consuming and expensive and not reasonably calculated to lead to the discovery of
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admissible evidence
Subject to and without waiving said objections see response to Interrogatory No. 2 which is fully incorporated herein by reference
65
Identify any brake service manuals which would have accompanied your friction and
brake products or which would have been made available to persons or businesses using
or applying your friction and brake products during the years 1930 to the present
RESPONSE
AlliedSignal objects to this Interrogatory on the grounds that it is overly broad not
limited in time and scope unduly burdensome oppressive vague ambiguous and seeks
information neither relevant nor reasonably calculated to lead to the discovery of admissible
evidence Defendant objects that this Interrogatory is beyond the scope of permissible discovery
It is unreasonable to ask AlliedSignal to identify documents regarding product it ever sold
at any time to anyone in the entire world
Subject to and without waiving said objections in 1977 The Bendix Corporation first
mailed to its distributors and rebuilder customers copies of the Friction Materials Standards
c
Institute's Brake Lining and Clutch Facing Automotive Data Book which contained a section
rs
en
entitled Recommended Procedures For Reducing Asbestos Dust During Brake Servicing Since
DEFENDANT ALLIEDSIGNAL INC.'S OBJECTIONS AND RESPONSES TO PLAINTIFFS FIRST SET OF INTERROGATORIES PAGE 62
Aaeet ease
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1977 subsequent editions of the FMSI data book also containing a section entitled Recommended Procedures For Reducing Asbestos Dust During Brake Servicing have been distributed to customers by The Bendix Corporation and its successors Allied Corporation's Automotive Section and AlliedSignal Inc.'s Automotive Sector In March 1979 The Bendix Corporation by means of a general bulletin mailed to its distributors and rebuilder customers a Friction Materials Standards Institute publication dated October 1978 entitled Friction Materials Work Practices Guide During 1984 and 1985 Allied Corporation's Automotive Section mailed Product Fact Sheets to all customers Beginning July 30 1986 Allied Corporation's Automotive Sector distributed a Material Safety Data Sheet to all customers
Beginning March 1 1988 AlliedSignal Inc.'s Automotive Sector distributed a Material Safety
Data Sheet to all customers
66 Identify any guidelines data books instructions memoranda manuals and documents that recommend procedures for reducing asbestos dust during brake and friction product application removal and servicing for the years 1930 through the
present
RESPONSE
AlliedSignal objects to this Interrogatory on the grounds that it is overly broad not limited in time and scope and unduly burdensome harassing vague ambiguous and seeks information neither relevant nor reasonably calculated to lead to the discovery of admissible
evidence Defendant objects that this Interrogatory is beyond the scope of permissible discovery
It is unreasonable to ask AlliedSignal to identify documents regarding every product it ever sold
at any time to anyone in the entire world
Subject to and without waiving said objections in 1977 The Bendix Corporation first mailed to its distributors and rebuilder customers copies of the Friction Materials Standards
DEFENDANT ALLIEDSIGNAL INC.'S OBJECTIONS AND RESPONSES TO PLAINTIFFS FIRST SET OF INTERROGATORIES PAGE 63
AF s amma sam seeees
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AlliedSignal further objects to the extent the inquiry seeks the identity of consulting
experts whose opinions and expressions have not been reviewed by a testifying expert in
violation of Tex Rule Civ Proc 166b
Without waiving these objections AlliedSignal states that it does not have a medical
department but at various times AlliedSignal and its predecessors have employed or retained
physicians from the local community in which its facilities were located to perform routine
physical examination and to administer medical treatment to its employees as and when
necessary
AlliedSignal has employed the following industrial hygienists
ee en a Stanford K. Christian Charles C. Clark Sondra Johnson Jenkins Linda Parrish Thomas Rancour James Weber Ben Wong
Industrial hygienists are assigned to the Automotive Sector AlliedSignal Inc. Southfield
Michigan
18
Please state
a
The year that your company or any predecessor or subsidiary was first advised
of either threshold limit values TLV or maximum allowable concentrations of
asbestos dust silica dust and total dust by the American Conference of
Governmental Industrial Hygienists or any other organization
b
State the name of the employee or official of the company receiving such advice
and attach copies of the instrument communicating such advice
c | Were such threshold limit values or maximum allowable concentrations TOTAL
dust and not just asbestos dust and
DEFENDANT ALLIEDSIGNAL INC.'S OBJECTIONS AND RESPONSES TO PLAINTIFFS FIRST SET OF INTERROGATORIES - PAGE 23
02265 09931 LIT 207995
RESPONSE
AlliedSignal objects to this Interrogatory on the grounds that it is overly broad unduly burdensome oppressive harassing vague ambiguous and seeks information which is not relevant to the subject matter in this litigation and is not reasonably calculated to lead to the discovery of admissible evidence
Subject to and without waiving its objections AlliedSignal's predecessors have manufactured and sold both containing and asbestos friction products The development of asbestos friction products is an ongoing evolutionary process Without seriously compromising the critical safety function of brakes it is not yet possible to eliminate
asbestos from all friction products for all vehicular applications This is particularly true for
vehicles in the aftermarket where braking systems were designed initially with asbestoscontaining linings or pads AlliedSignal and its predecessors have conducted and continue to conduct research and development to design and produce asbestos friction products This has been accomplished by replacing the fiber reinforcement and bulk volume characteristics of processed chrysotile asbestos fiber with chopped steel wool iron powder sponge iron particles and natural or manmade fibers Asbestos brake blocks for super heavy drum brakes e.g. logging and mining trucks were introduced in 1966. Asbestos disc brake pads for service applications e.g. ambulance police cars and taxis introduced in 1969
Asbestos disc brake pads for passenger cars and light trucks were introduced in 1971
Asbestos drum brake lining segments for OEM and OES passenger cars and light trucks
were introduced in 1983. Asbestos brake blocks for heavy vehicles utilizing air brake systems e.g. trailers were introduced in 1983. Asbestos motorcycle brake pads including brake pads for terrain vehicles road vehicles and touring models were
DEFENDANT ALLIEDSIGNAL INC.'S OBJECTIONS AND RESPONSES TO PLAINTIFFS FIRST SET OF INTERROGATORIES PAGE 17
02265 00011 FIT 90700
introduced in 1987. Asbestos drum brake lining segments and disc brake pads for most passenger car and light truck aftermarket applications were introduced in 1988. A full line of asbestos brake blocks for heavy vehicles was introduced in 1988
12
Has the answering defendant been sued under its correct name and in the correct
capacity If not please state why it has been sued in the wrong capacity and state the
correct legal name of the defendant and provide the following information
a Principal place of business
b State of incorporation
c
Date of incorporation or date the division was formed and
d The years defendant or any subsidiary or predecessor was authorized to transact
business in Texas
RESPONSE
AlliedSignal does not contest service in this matter
13. Considering the contents of asbestos containing products mined manufactured
distributed relabeled supplied sold assembled marketed or advertised by you the
method of manufacturing and the method of application can your products be generally
installed or applied without liberating respirable asbestos fibers If there is a different
answer concerning different products manufactured sold distributed or mined by your
company then answer this interrogatory for each product and identify it by exact
manufacturer's name and popular name If there is a difference in your answer
depending on the year or years in which a particular product was used then specify in
specific detail what year or years you are referring to and the
to as to eachyear-
e
products you are referring
.
RESPONSE
Yes
14 Was it a foreseeable use of your containing products that they may have to be removed stripped cut sawed ground or replaced at any time after installation
DEFENDANT ALLIEDSIGNAL INC.'S OBJECTIONS AND RESPONSES TO PLAINTIFFS FIRST SET OF INTERROGATORIES PAGE 18
02265 09931 LIT 207995
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NO 95G0712
WELDON BOULDIN ET AL
VS.
ABEX CORPORATION ET AL
cos
IN THE DISTRICT COURT OF
cos
cos
BRAZORIA COUNTY TEXAS
cos
239TH JUDICIAL DISTRICT
DEFENDANT ALLIEDSIGNAL INC.'S OBJECTIONS AND RESPONSES TO PLAINTIFFS FIRST SET OF INTERROGATORIES
TO
Plaintiffs by and through their attorney of record George E. Cire Jr. Taylor & Cire 3400 One Allen Center Houston Texas 77002
COMES NOW AlliedSignal Inc. AlliedSignal one of the Defendants in the aboveentitled and numbered cause and pursuant to Rule 168 of the Texas Rules of Civil Procedure files this its Objections and Answers to Plaintiffs First Set of Interrogatories as follows
GENERAL OBJECTIONS
1
AlliedSignal objects to Plaintiffs First Set of Interrogatories on the grounds and
to the extent that they are beyond the scope of permissible discovery Plaintiffs should be
required to focus their First Set of Interrogatories on 1 the places of employment in which
Weldon Bouldin worked and at which they believe Weldon Bouldin was exposed to asbestos-
containing products and 2 the relevant dates during which Weldon Bouldin worked at such
places Only then could AlliedSignal attempt to make a reasonable investigation to determine
if it sold any containing products to such employer at such time when Weldon Bouldin
was employed
2.
AlliedSignal objects to Plaintiffs First Set of Interrogatories pursuant to Rule
168 of the Texas Rules of Civil Procedure which provides that the number of questions
including subsections in a set of interrogatories shall be limited so as not to require more than
DEFENDANT ALLIEDSIGNAL INC.'S OBJECTIONS AND RESPONSES TO
PI AINTibco riST SET An T nn mae
VERIFICATION
STATE OF MICHIGAN COUNTY OF OAKLAND
SS cos
J. KENNETH WAINWRIGHT JR being first duly sworn upon his oath at law deposes and says
1
I am Associate General Counsel for Defendant AlliedSignal Inc. I am authorized
to sign the foregoing evidence supporting AlliedSignal's Answers and Objections to Plaintiff's
First Set of Interrogatories
2
The answers and objections were prepared with the assistance and advice of
counsel and other representatives of AlliedSignal Inc. The information contained in the answers
and objections was furnished by various employees of and departments within AlliedSignal Inc.
and has been derived from business records maintained by AlliedSignal Inc.
3.
While I do not have personal knowledge of the facts recited in the answers and
objections they are true to the best of my knowledge information and belief
Mutt Many~-
7
J. Kenneth Wainwright Jr.
February Subscribed and
25th day of
me this 1997 February
February
Shookust Shookust Notary Public
;
Oakland County Michigan '
My Commission Expires 4 5-99 5-99
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