Document x1a66Jz3png3EYbaJ5DyXLx5E
any such research projects exclusively pertaining to the inhala tion of asbestos.
39.
Please state the names, if any, and addresses
the defendant's chief medical officers from 1930 until the
present time, listing the periods of time each such medical
officer was employed by defendant in that capacity.
of
ANSWER:
Abex objects to this Interrogatory on the
following grounds:
1. Burden
2. Overly Broad
3. Lack of Relevance
Without waiving these objections, Abex states that it has never
employed any personnel in the capacity of a chief medical
officer. The following individuals did serve as corporate
medical directors during the periods indicated:
1941-1961
Lloyd E. Hamlin, M.D. (deceased)
1961-1976
Charles C. Blackwell, Jr., M.D.
1976-1982
Frederick W, Knoch, M.D. (deceased)
1983 - Present
Dennis G. Egnatz, M.D.
40.
Please state to whom in the corporate structure
the chief medical officer reports or reported, also giving that
person's position or job title with defendant.
ANSWER:
Abex objects to this Interrogatory on the
following grounds:
1. Overly Broad
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