Document xz9yM9ba8zwkQ8VeK1nn0MKDQ

Monsanto E. Greene - 5t. LouisF HO M i NAME ft LOCATION) January 14, 1972 SUOJECT REFERENCE TO J. P. Berndt-St. Louis P. A. Kling3porn-Sb. Louis A. D. Lap t home -Melbourne JJrf'Corey-St. Louis J./Culver-Hong Kong J. R. Durland-Tokyo R. B. Giles/K. Witcombe-MAL T. L. Gossage-St. Louis R. K. Louis-Manila Cumming Paton-St. Louis G. W. Sperberg-St. Louis J. E. Tucker/F. Camargo-St. L. It will come as no surprise to any of you that the Monsanto Board has approved MICC's discontinuance of sales of poly chlorinated biphenyls and terphenyls for certain end uses in the domestic market. Their Implementation program is described in two attachments. (W. R. Corey memo of 12/27/71 and Paton/ Clark memo 12/17/71). As you see. International has been instructed to implement a program overseas which is consistent with the Tj.S. policy but which recognizes some essential differences in the problems involved. ' 1. Please notify all your heat transfer customers promptly - certainly before January 31 -- by maiT] Use your own letterhead and translate if you feel local law or practice would require. We are enclosing a list of ThermlnQl FR* customers since 1969, as shown on our records. It may not be complete* and in many cases may - not 3how customers to whom you have resold material. You must be responsible for complete coverage. " Material out of MCL may have been sold as Santotherm FR. 2. Maintain a complete file of this correspondence. We want the record to show we have complied fully with the Board's directive. Also, send us a copy of the form letter you use and a list of customers to whom it was sent. 3. Use the wording of the attached form letter. It was carefully composed and cleared by the Law Department. . Avoid modifications except as may be necessary in trans lations; certainly avoid committing us to any action or. expense without first clearing with the product group. DSW 223174 STLCOPCB4053437 Page 2 4. While the letter of. notification must be standard, each customer's conversion and disposal problem must be handled on a case-by-case basis. He is naturally going to feel that he is being put to a lot of expense and trouble by our decision. In your personal contacts, you must con vince him that we sold him material in good faith, and that only the most compelling reasons have forced us to this decision. But ultimately conversion and disposal are his problems. You should be helpful but avoid accept ing any direct responsibility for successful conversion and safe disposal. The stakes are simply too high for us to accept any such risks. . 5. While provision is made in Wink Corey's memo for handling hardship cases, (Section I,B,2), you should know that MICC management has taken a very firm position against selling additional quantities for heat transfer applica tions, even if the customer is willing to sign a hold harmless letter. 6. We, obviously, cannot offer overseas the personalized conversion counselling of Cumming Paton's team of engineers. They have agreed, however, to handle mail Inquiries as promptly and as fully as possible. 7. We also cannot offer overseas the disposal services offered in the U.S., and it is doubtful that the kind of high temperature incineration (2000 F) facilities necessary are. available in your areas. The business group has agreed .to prepare a description of suitable disposal techniques for the guidance of your customers as far as this may be possible. We certainly cannot accept responsibility for supervising each customer's disposal, but we will try to tell him methods to avoid, at least. Obviously, he should avoid sewering, any possibility of contaminating water supplies, feeding areas for wildlife open dumps where scavengers might have access to the fluids or materials or containers which have had contact with the fluids. ... In many of the countries where you have been selling PCB/PCT's, you will probably find there are some carefully selected and properly supervised covered landfills for DSW 223175 STLCOPCB4053438 Page 3 the disposal o`f toxic chemicals. Also, your customer would find himself in the most secure legal position if he seeks out and follows the advice of local authori ties. . 8. We 4o not yet know whether Bayer, Prodelec and other competitors will follow our lead and if so, when, and some of your costomers may choose to go to them for continuing supplies. We are prepared to lose this business, but would like to be fully informed of competitive developments at significant accounts. . 9. As the product literature points out, Therrainol 55 and 66 can be used in some of the same heat transfer appli cations as the PR series. However, the former are not fire resistant and require different gaskets and fittings so do not recommend 55 and 66 as direct substitutes. Further, reccr-ier.dirig another Monsanto fluid simultaneously with the withdrawal of the FR series might make the whole" exercise look like a sales gimmick and dilute the sense of urgency we wish to convey to our customers. 10. The ban on further sales of heat transfer fluids applies to local stocks as well as to indent sales from U.S., U.K, and MMK. We expect you to honor the spirit as well as the letter of these instructions'. Let us know what materials you have in stock, and how you would propose disposing of it and the product group will give the necessary instruc tions. We will be writing you soon on a procedure for dielectric customers. Meanwhile, in countries where you have such customers, please check with local legal counsel to make sure "hold harmless11 agreements (sample attached) are enrorceacie ana would effectively protect . us in case- of subsequent litigation, lr nob, what if any "-changes wouM local law require? One addition that will probably have to be made is wording to insure that both the local selling company and the manufacturer -' DSW 223176 - STLCOPCB4053439 Page 4 (MC, MCL and/or MMKr) was held harmless. Where your customers subsidiaries of U.S. customers, please let us know and we shall try to keep you informed of the actions of these parents. G.E. and Westinghouse, for example, have indicated they would sign some form of hold harmless agreement. A parent company's agreement would not necessarily be binding on a sub or enforceable in the sub's country, hence our request for local counsel. As you know, we discontinued the sale of PCB-containing plasti cizers over a year and a half ago. Will Clark is writing you separately about the program to discontinue sales of PCT-containing plasticizers. Lists of your plasticizer and dielectric customers are_being preparedTand will be sent_ypa^__but again our records may be incomplete-;--You'ffiusTT be responsible for complete coverage of your area customers. EG/rh Attachments DSW 223177 STLCOPCB4053440