Document rpB7a6agZGRR921zVe4E5Z79V

concerning asbestos, asbestos-related diseases, working with and/or around asbestos, and/or the hazards of asbestos; (1) Occupational health and safety / industrial hygiene (as they concern asbestos, asbestosrelated diseases, working with and/or around asbestos, and/or the hazards of asbestos). ANSWER: - Gleason objects to this Interrogatory as overly broad, burdensome, harassing, excessive in scope and time and incorrectly implying that its products were a health hazard. By way of further response, see documents provided. INTERROGATORY NO. 49: Did defendant and/or any predecessor/related entity, at any time, have a representative present at any meetings, seminars, conferences, symposiums and/or like gatherings (including, but not limited to one sponsored by any organization listed in response to Interrogatory No. 45), at which any and/or all of the following subjects were discussed or presented and/or at which information referring to, relating to, and/or reflecting the same was available; (a) Omitted as duplicative of Standing Order #1 Interrogatories (b) Omitted as duplicative of Standing Order #1 Interrogatories ; (c) Omitted as duplicative of Standing Order #1 Interrogatories; (d) Omitted as duplicative of Standing Order #1 Interrogatories; (e) Medical monitoring of persons working with and/or around asbestos and/or otherwise exposed to asbestos; (f) Marketing products; asbestos and/or asbestos-containing (g). Asbestos related claims and/or litigation; GLEASON-000035