Document rpkDE8LDdjK2Xyb40kqgnJnoJ
I grounds that it is overly broad, vague, ambiguous and unintelli2 gible and this responding defendant does not know to which "use" 3 the plaintiff refers. 4 INTERROGATORY NO. 65: 5 Please state whether this defendant has distributed any 6 catalogs, brochures, pamphlets or other advertising materials 7 regarding its asbestos-containing products between 1930 and 1972.
8 RESPONSE: 9 Yes. 10 INTERROGATORY NO. 86: 11 Does defendant advertise its asbestos-containing products by
12 any media whatsoever. 13 RESPONSE: 14 Yes. 15 INTERROGATORY NO. 87: 16 Please state whether defendant sold any asbestos-containing 17 products to any United States governmental agency between 1930 to 18 1972. If so:
19 (a) List the name and address of each such agency;
20 (b) The dates of each sale;
2) (c) The final government destination of each product
22 sold; 23 (d) The type and serial or model number of products 24 sold or distributed to said agencies.
25 RESPONSE:
j26 OBJECTION. Interrogatory No. 87 is objected to on the grounds
27 set forth in response to Interrogatory No. 83, supra, and the
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28 same is incorporated herein as though fully set forth. Without
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