Document yoLvDKQ3NdEMeoppOkKaxjVn
IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS
EASTERN DIVISION
THE UNITED STATES OF AMERICA, Plaintiff,
! OUTBOARD MARINE CORPORATION j AND MONSANTO COMPANY, i Defendants.
) ) ) ) ) No. 78 C 1004 ) ) ) )
)
; The deposition of THOMAS LAYTON GOSSAGE,
| called by the Defendant Outboard Marine Corporation
for examination, pursuant to agreement and pursuant
t to the Rules of Civil Procedure for the United States I | District Courts pertaining to the taking of depositions, i
: taken before Thea L. Urban, a Notary Public in and for
j the County of Cook, State of Illinois, and a Certified
i ; Shorthand Reporter of said State, at 200 East Randolph i
i
' Drive, Room 5800, Chicago, Illinois 60601, on the 29th
ii day of July, A.D. 1981, commencing at 9:30 o'clock a.m.
! ' PRESENT:
j MR. SEBASTIAN T. PATTI, j (Enforcement Division ! U.S. Environmental Protection Agency
i 230 South Dearborn Street j Chicago, Illinois 60604),
j appeared on behalf of the j United States of America;
.
______________ ____________________________________________ ___________ _____
Thea L
Certified SR^tSod Reporter ------
134 Soutl. L* Sd!e Street
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PRESENT: (Continued)
MR. MICHAEL A. POPE, MS. MARY KAY KELLY, (Phelan, Pope & John, Ltd.
30 North LaSalle Street Chicago, Illinois 60602),
and
MS. JOANNA C. NEW, (Martin, Craig, Chester & Sonnenschein
115 South LaSalle Street Chicago, Illinois 60603),
appeared on behalf of Outboard Marine Corporation;
MR. JAMES (Kirkland
200 East Chicago,
H. SCHINK, & Ellis Randolph Drive Illinois 60611),
and
MR. JAY R. GENTRY ORTIZ, (Monsanto Company
800 N. Lindbergh Boulevard St. Louis, Missouri 63166)
appeared on behalf of Monsanto Company.
2
i1 I
WATER PCB-00053523
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i
I WITNESS:
INDEX Direct Cross Redirect Recross
THOMAS LAYTON GOSSAGE
By Ms. Kelly
5
181
By Mr. Patti
177
EXHI_B^TS_
Gossage-OMC Deposition Exhibit
Marked for ID
No . 1
71
No . 2
80
No . 3
102
No . 4-8
141
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MR. POPE:
Mr. Schink, Miss Kelly will handle
the interrogation.
There is one matter I think I would
~
like to make of record at the beginning of this depo
sition. There have been a number of Monsanto witnesses
who we would normally speaking postpone the taking of
depositions pending a ruling by the Judge on the out
standing discovery motion which she has taken under
advisement.
I think given the dates that have been
set by the Court, it makes the most sense for the
lawyers and the witnesses, for us to go ahead with the
depositions and I propose we do that, but it may well
be that we cannot really complete the deposition de
pending on what the Judge rules by way of further
discovery for Monsanto.
MR. SCHINK:
I think you should ask any questions
of Mr. Gossage that you deem appropriate and I will
object and direct the witness not to answer in the
event some of the questions touch on areas that we
deem to be irrelevant to the case.
MR. POPE:
I am sure you will, but nonetheless,
it may be impossible to totally complete the deposition
pending the ruling of the Court. ___________________________________________________________
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MR. SCHINK:
I still would just state for the
record that you pose to the witness any questions you
deem to be appropriate. Do not withhold any questions.
It is not our intention that Mr. Gossage be later
available, obviously, except of course for the --
MR. POPE:
If the Court requires you to produce
documents that relate to his area or would be appropri
ate for him to answer, it may well be necessary that
we have further interrogation on the additional docu
ments or further answers from Monsanto.
MR. SCHINK:
That may be. Why don't we proceed.
(Witness sworn.)
THOMAS
LAYTON
GOSSAGE,
called as a witness herein, having been first duly
sworn, was examined and testified as follows:
DIRECT EXAMINATION
BY MS. KELLY:
Q Will you state your full name.
A Thomas Layton Gossage, L-a-y-t-o-n.
Q Mr. Gossage, what is your present address?
A 464 Edgewood Drive, Clayton, Missouri 63105.
Q Is Clayton -
A A suburb of St. Louis, County of St. Louis.
Q What is your age, Mr. Gossage?
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A 47. Q Have you ever given a deposition in any
lawsuit prior to this time?
A No, I haven't.
Q Have you ever provided a statement to any
person including your attorneys concerning PCB-bearing
fluids?
A State that again.
MR. SCHINK:
Do you understand what a statement is,
where a reporter would ask you questions and they would
be transcribed?
THE WITNESS:
No, I haven't.
BY MS. KELLY:
Q Have you ever testified in any trial concerning
PCB-bearing fluids?
A No, I haven 11.
Q Would you tell me your educational background
beginning with high school.
A Where I went to school?
Nashville, Tennessee, East Nashville
High School.
Q Did you go on to college?
A Yes.
Q What college?
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A The Georgia Institute of Technology.
Q Did you receive a degree?
A Yes.
Q What kind of a degree did you receive?
A Bachelor and Master's inChemicalEngineering.
Q When did you receive your Bachelor's Degree?
A '56 .
Q And your Master's?
A '57.
: Q Have you taken any postgraduate courses since
obtaining the Master's Degree in '57?
A I took some courses when I was in the Air
' Force in Dayton, Ohio at Ohio State; several courses,
' mathematics, thermodynamics, contract law.
' I think that is essentially it.
' I also took while in the Air Force a
; two or three-week course at MIT, engineering course on
i fluids, and I took advance management training at
Stanford in 1969. That is a six-week course.
Q Have you received any degree since receiving
your Mas ter ' s ?
A No, I have not.
Q Both your Bachelor and Master's were in
| Chemical Engineering? I
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i A Correct. iI i Q Did you concentrate in a particular field
J of chemical engineering?
j A My thesis during my Master's was in Fluids
i Flow.
Q Could you explain for me what you mean by fi
fluids flow? i
! A The flow of fluids in pipes and valves that
i ._ | was related to an Air Force contract on fuel flow in
: jet aircraft. I
: Q The courses which you took at MIT while you
! were in the Air Force pertaining to fluids, could you
i describe what those courses involved?
i
A It was one course and it is a highly theo-
1 retical course on fluid mechanics.
' Q Any particular fluids?
A No, just fluids in general.
I Q Again, did that apply to jet aircraft? i j A No.
J; Q After you received your Master's Degree in
i Chemical Engineering in 1957, I take it you went into
j the Air Force. i j A I went with Exxon, called ESSO at that tine,
i j their Baton Rouge Refinery for about six months before
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I was called into the Service. I took ROTC at college
and had had a two-year obligation, three-year obligal
! tion in the Service, so I left Exxon a few months ii
| after I joined them and was in the Air Force for two iI
' and a half years.
"
; Q What were your responsibilities at Exxon?
' A I was a process engineer doing design work on
! new capital projects in the refinery,
j Q What type of capital projects?
; A The ones I worked on while I was there, as I
recall, one was the movement of some lower olefins,
; C2, C3 and C4 out of the refinery for some storage some
; number of miles away. I designed the piping and the
i equipment for moving that.
I I was involved in heat transfer, heat
exchanger equipment for one of the refinery units, and
i ! that is all I can recall.
There may have been one or
! two other projects, but those are the ones I recall.
: Q Did your responsibilities at Exxon involve
| any hydraulic fluids?
i
i A No .
*
I
i i
! Air i I
Q What were your major responsibilities in Force? A I was at Wright Patterson Air Force Base
the in
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the Fuels and Lubes Laboratory. I was a project manager responsible for doing contract research with
universities and industry and my focus was in the fuels-
area. Q I take it you left the Air Force approximately
1959? A Let me think about that a minute. It would
have been very early '60, the first quarter of '60. I
don't remember exactly.
Q Where did you go? A I went back to the Baton Rouge Refinery, the
same company but it was called Humble Oil then, later
called Exxon.
Q Were your responsibilities the same as when
you were previously there? A I went back essentially to the same job work
ing on those projects. In fact some of those projects
I mentioned may have been done after I came out.
Q Those are the capital projects involving the
design for piping and the heat transfer systems?
A That is correct.
Q How long were you employed by, at that time. Humble Oil?
A For about a year. I left in May of 1961.
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Q Did your responsibilities during that time ever change from designing of capital projects?
A No, the same job but the projects were the same or I worked on different projects that were assigned to me. But my position was the same.
Q After you left Humble Oil, where did you go? A I joined Monsanto. Q That was 1961? A Yes . Q When you joined Monsanto, what was your responsibility? A My title was Assistant Director of Government Relations, a subsidiary of Monsanto called Monsanto Research Corporation, was and is a subsidiary dedicated to doing Government research. Q What did those research projects involve? A We had a number of programs with the Atomic Energy Commission, some of those which were highly classified; with the Air Force, some of which also were classified; with the Army and Navy, Department of Health.
We certainly had a number of Air Force contracts relating to lubricants, fuels and hydraulic fluids, but hydraulic fluids for aircraft.
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Q Did your responsibilities as Assistant
Director of Government Relations for Monsanto Research
Corporation involve PCB-bearing fluids?
A No .
Q Pydraulfluids?
A No .
Q How long did you hold that position as
Assistant Director of Government Relations?
A I was with Monsanto Research Corporation from
'61 to '68 and somewhere in the middle, I would say
about '65, I became Director of R&D Marketing. That
really was the same department. We changed the name
of the department.
I was the assistant head of the depart
ment when I came and I became head of the department.
We changed the title of Government Relations Department
to R&D Marketing Department.
Q So in 1965 you became the Director of -
A Of that department.
Q Of what was formerly the Government Relations
Department?
A Yes .
Q Did you understand thequestion?
A Yes.
et1 L
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Q You were now the Director of that department I ; which in 1965 was known as the Research Department for
j Marketing?
A In 1965 it became the R&D Marketing Department.
Q Did your responsibilities change with the
i change of title?
i
_
! A I took on the responsibility for the entire
department. Q Did the functions of that department change
in 1965?
A No .
j Q How long did you remain in the position of i
R&D Marketing?
A Until late 1968. I Q From 1965 until 1968 did you have any involve
ment with the sale or marketing research of PCB-bearing
I
i iiii
fluids?
A
No.
Q In 1968 how did your position change at Monsanto?
A I moved from Dayton, Ohio to St. Louis.
Q What was your title? i A I joined a part of Monsanto called the New
Enterprise Division which was just being formed at that i
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' time and my title was Group Marketing Director.
I
| Q What was the purpose of the New Enterprise
I
j Division?
'
i
I A We were trying to develop new business for I
i
! Monsanto.
Q The New Enterprise, was it originated in 1968
j when you joined the division? i ! A It was formed either in late 1968 or early
I
' 1969, I don't remember. It was formed when I joined
i
them, but I don't know whether officially it became
; a division in late December 1968 or January '69. I , was in that time period.
It
Q How many employees were there in the.New
Enterprise Division?
A ! know.
I would guess a couple of hundred, I don't
; Q And you had direct responsibility and super-
i
j vision? | !A
i
Not over the entire department.
I was merely
one of the managers within that division.
!
| Q How long did you remain in that position?
| A Until October or November of 1970. i
j Q While you held the position of Group Marketing
| Director in the New Enterprise Division, did you have any
!
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involvement with PCB-bearing fluids or Pydraul fluids?
A No, I didn't.
Q At that time were you aware that Monsanto
sold products bearing the trade name Pydraul?
MR. SCHINK:
At that time refers to when he was
Group Marketing Director?
BY MS. KELLY:
Q At that time, from the period 1968 to 1970.
A I may have been familiar with the trade name.
I was not familiar with the product, no more so than
I would be familiar with any other trade name at
Monsanto.
Q You at that time were not familiar with the
purpose of Pydraul?
A No.
Q Or its composition, the chemical composition?
A No .
Q From1968 until1970, did you become aware
of the presence of PCBs in the environment?
A No .
Q Can you explain how your position changed in
1970?
A
I became Directorof Sales for,
atthat time,
it was called Functional Fluids Business Group of the
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Organic Division.
Q How long did you remain in that position?
A Within, let us say that I joined that group
in October. By December, in fact it was in December I
was in Atlanta for Christmas. There was an organi
zational change and another group was added to that, ,
the Paper Chemicals Group.
The two of those business groups were
then called the Specialty Chemicals Business Group.
That was December 1970 and I was made Sales Director
for that group.
Q So the Functional Fluids Business Group was
combined with the Paper Products Group?
A Paper Chemicals Business Group.
Q Paper Chemicals to form the Sales -- A To form the Specialty Chemicals Business
Group.
It was Specialty Products Business Group
at that time.
Q Are you saying that later there was a further
name change?
A It is now called the Specialty Chemicals
Division, but that is much later.
Q How long did you hold the title of Director of
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Specialty Products Business Group?
A I was es sentially in that position until 1975.
! There was a title change from Sales Director to Marketii iI ing Director in 19 72 , I believe; no change in the
i! position, just the change of title, I Q How long did you hold the position of Marketing
' Director? i i A Until 1975. I | Q In 1975 how did your position change?
i A I became Director of Results Management.
i
l
j Q Is that the position you hold at Monsanto
| today?
! A No, we've got a long way to go.
i I Q Bring us up to date on your titles.
i I A I was there for about 15 or 18 months. I i i, j then became Assistant General Manager of the Plasticizer
i ! Division. That would have been sometime in late '75. !
i
I was in that position for less than a year, say 10
months.
i
I then became a General Manager of the
j Plasticizer Division, then became General Manager of
the Detergent & Phosphate Division.
Q That was in 1977, I take it?
| A Yes, *78, '77, and then in July of 1980, I I
became Assistant Managing Director of Monsanto
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Industrial Chemical Company and that is the position I
am in now.
t
Q Going back to October of 1970 when you became
the Director of Sales for Functional Fluids Business
Group, how many Monsanto employees were there in that
division or that group?
A Reporting to me?
Q Reporting to you.
A I would guess about 20.
Q How many Monsanto employees were there in the
entire department?
MR. SCIIINK: Do you mean in the business group?
BY MS. KELLY:
Q In the business group.
A Reporting into that business group, I'd say
50 to 60.
Q Who were your immediate supervisors?
A At that point in time?
Q Yes, in October 1970.
A Howard Bergen .
Q Anyone else?
A No.
Q Who was the director of that department?
A That business group, he was. I reported to
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the head of the business group.
Q What was his title?
A Business Director.
-
Q What was the function of the Functional
Fluids Business Group?
A We had worldwide responsibility for a number
of different specialty products that broadly could be
classified as fluids.
Q Can you categorize these fluids in any way?
A There were a number of different fluids.
There were a number of heat transfer fluids, hydraulic
fluids, dielectric fluids, solvents and some specialty
lubricants. That may not have been all of them, but
that was the majority of the business at that time.
Q Did you have responsibility for sales per
taining to all of these different types of fluids?
A Yes .
Q Can you approximate for me which of these
fluids represented the largest share of the Monsanto
market in October of 1970?
A I am not sure what you mean by largest share
of the Monsanto market. Do you mean largest amount of
sales by total?
Q Largest amount of sales by total out of --
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A Out of that group?
i Q Out of that group.
I A Dielectrics would have been the largest sale -
;f dollars.
(
IQ
And approximately what percentage of sales
, were represented by dielectrics?
A I can't recall. I would guess 30 percent.
;
MR. SCHINK:
You don't have to guess,
i BY MS. KELLY:
! Q What would be the second largest? Which of
i
j the fluids was second largest in terms of sales?
. A Hydraulic fluids.
' Q Did you undergo any type of training before
: you became Director of Sales or thereafter in order to
1 familiarize yourself with the department and its purpose?
i
i A What do you mean by training?
ii Q What did you do to familiarize yourself with i Functional Fluids Business Group?
' A Through reading what was available in the
; files, through talking to the person whom I replaced.
! Q Who was the person that you replaced? Ii
A Don Olson, and through discussions with other
department heads and with Mr. Bergen, the Director.
| Q What did you learn from Mr. Bergen about the
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1 ! presence of PCBs in the environment?
i.
| A The only knowledge I can recall is that it
I
I was about that time that we were preparing to make the ~
| first conversion of our Pydraul products away from
|.
( polychlorinated biphenyls to the chlorinated terphenyls.
i Q Were you informed as to the reason for this
I
I ! conversion?
A Yes .
Q What was that?
A Because of concern by the Government of the
presence of PCBs in the environment.
Q When did you first learn of the presence of
PCBs in the environment?
A It would be inOctober of 1970. Q Prom what source did you learn of the presence
of PCBs in the environment?
A From Don Olson, Howard Bergen and my initial
discussions with these two individuals.
Q Did they inform you as to how the PCBs got
into the environment? A I cannot recall anything specific, other than
from the effluent of our various customers' use of the
product.
Q What types of effluent were you informed caused
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the presence of PCBs in the environment?
A Either from solid wastes or from the liquid
or collection of fluids in the customer plant.
Q Were you aware of the use of PCB-bearing fluids
in insecticides?
A No .
Q At that time?
A No .
i Q Are you aware that Monsan to marketed products i for use in insecticides with PCB-be aring fluids?
A NO .
Q In October of 1970 when y ou became Director,
when you joined the Functional Flui ds Group, were you
aware of the use of PCB-bearing flu ids in adhesives?
A Yes.
Q What were you told with r egard to adhesives? t i A We were withdrawing from those markets at the
same time or essentially the same t ime that we were
converting our Pydraul fluids to ch lorinated terphenyl.
Q Were you shown any resear ch at the time you
joined the Functional Fluids Group pertaining to the
chemical composition of Pydrauls?
A Certainly.
Q Are you familiar with the chemical composition
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of Pydraul F-9?
; A No.
i Q Or the chemical composition of Pydraul A-200?-
| A In general terms, on both of those I know
i.
i that at that time they were chlorinated biphenyls but
there are different formulations and I have no recol
lection of them at this time.
: Q Are you aware that PCB fluids bearing the
i
trade name Aroclors were used in both Pydraul F-9 and
! Pydraul A-200?
A Well, Aroclor was a trade name for a dielectric
j use for those same products. ! Q Absolutely.
i So you were aware that Aroclor was to
! include Pydraul F-9 and A-200?
J
|
MR. SCHINK:
Aroclor is a trade name.
He has
; already told you that Aroclor is a chlorinated biphenyl.
|
THE WITNESS:
Yes.
j BY MS. KELLY:
i
Q
i F-9?
! jA
Do you know what Aroclor was used in Pydraul No.
Q A-200?
Do you know what Aroclor was used in Pydraul
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A Not at this time. Q At any time did you know what Aroclor was
used? A
I'm sure I knew which Aroclors or which
chlorin ated biphenyls were used in the various fluids at that time .
Q Do you know what Aroclor was used in Pydraul A-200A?
A No, I did then. I don't know Q Do you know what Aroclor was used in Pydraul A-200B?
, A I know it is a chlorinated terphenyl rather
i
' than a biphenyl, but I don't know which one it was at
this time.
Q Were you shown any tests or research which
i
i was performed on any of the Pydraul fluids by Monsanto
i when you joined the Functional Fluids Group?
; MR. SCHINK:
i BY MS. KELLY:
I
Research regarding anything?
j Q Research involving the functions of these
products. A I had access to all the research reports and
saw routine monthly reports out of Research.
Q Did you review any reports concerning the
!.
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' solubility of Aroclors or Pydraul when you joined the i
i
| Functional Fluids Group?
j A Solubility in?
*
| Q In water. i ; A I don't recall that data.
; Q Did you ever review any data on the specific
gravity characteristics of Pydrauls? ! ; A I would have seen and would have generally
| known the specific gravities of the Pydrauls at that
time . i Q Were you shown anytesting concerning the ! toxicity of Pydrauls?
A Not at that time, that I can recall.
Q Do you know if prior to 1970 any tests were
performed by Monsanto on biodegradation qualities of
i Pydraul?
j
MR. SCHINK:
You are asking now Pydraul as opposed
to Aroclors or PCBs?
, THE WITNESS: | BY MS. KELLY:
Biodegradation?
Q Yes.
A And the question again was?
Q Are you aware of any biodegradation studies
ii
, conducted by Monsanto on Pydrauls prior to 1970?
i
_ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _I_______________________________________ ________________________________________________________ .
eo 1_. 1_J r'bi^n
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26
A I am aware that they were done. I have no
recollection of them.
Q Do you know who performed those tests, the
biodegradation tests?
A That would have been under the sponsorship of
the Research Department, which was run by Bill Richard.
Q tests?
Can you recall any of the results of those
A No .
Q Do you have any familiarity where biodegradation tests would be conducted?
A No .
Q Would have been conducted in 1970?
A No.
Q Do you know whether the state of scientific testing was adequate to perform biodegradation tests
prior to 1970?
; a Prior to * 70?
MR. SCHINK:
Some of your previous questions were
! in 1970. Now you are asking whether he knows prior to
1970 whether the state of art was sufficient for someone
j to run a biodegradation test on what?
1
i
MS . KELLY:
That's correct.
i
i
MR. SCHINK:
On what?
eo L.
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134 1_a Rcdle Street
(^Vico&o, Illinois1 6^603
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WATER_PCB-00053547
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27
i MS. KELLY: ( i I BY THE WITNESS:
On Pydraul .
j A I don't know that I am qualified to answer
I j that. !
BY MS. KELLY: i
| Q What is your understanding ofthe potential i j ; harm of PCBs in the environment today?
~
I A What is my understanding?
; Q Yes .
; MR. SCHINK:
i
I; a medium?
i
I BY MS. KELLY:
In what quantities, in what kind of
Q Do you understand the question?
A Restate the question.
Q What is your understanding of the potential
i harm of the presence of PCBs in the environment?
A I really have no direct understanding. I am !
f
I not an expert in either toxicity or the effects on the j
environment.
I can only comment on what I have read
or what I was exposed to during the years I have been
involved, but I certainly cannot give you any scientific
! comments on that.
I! I Q Based on what you have read and what you know
j ! LJXsin I5kr-r'',r'd Repor-ier
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i to date, what is your understanding of the potential j ! hazards of PCBs in the environment?
j
;
MR. SCHINK:
Now you are asking what he knows
| today, not what he knew in 1970?
I
i
MS. KELLY:
That is correct.
' BY THE WITNESS:
! A It is my understanding that it is a persistent
: chemical which means it does not biodegrade and I am i using "it" in the broadest terms of a number of higher
i chlorinated biphenyls which would have been the basic | : ingredients in the Pydraul; that it accumulates in
1 certain aquatic species, in animals.
It is my understanding that it is not a
highly toxic material, but there certainly are and
have been published some concerns about toxicity in
; animals exposed over long periods of time at high i ' dosage.
i BY MS. KELLY:
Q How have you obtained this information? ! A Through reading internal Monsanto documents,
j through reading published reports by the Government
i
I and the scientific community. I
,
MS, KELLY:
Would you repeat his prior answer.
i (Record 1
i
L_____________________________________________________________ (^ertif'eJ
read
as requested.)
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BY MS. KELLY: : q Mr. Gossage, how did you learn that PCBs are
' a persistent chemical?
: MR. SCHINK: He has already answered that question.
He has cited the two general sources with respect to
this.
He has answered that question, Miss Kelly.
, BY MS. KELLY:
Q Can you give me any specific recollection
about how you learned that PCBs are a persistent
chemical?
A The first letter that we sent out to our
Pydraul customers, which must have gone out in early
'70 as we were changing fluids, cited the concern by
; the Government and our concern about their concern of
; the persistency of the chlorinated biphenyls in the
environment.
Q That was your first knowledge of that quality
of PCBs?
I
MR. SCHINK:
Of certain PCBs. He said the higher
i chlorinated ones. i
BY THE WITNESS:
! A That is the first specific reference I can i
I
| give you. Certainly it was discussed as I entered the
i
L (Certified
ea L. 1>U
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o tCOQO, |l!inc;c 60603
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30
job with Mr. Olson and Mr. Bergen and the other depart-
| raent heads.
j BY MS. KELLY:
~
i.
J Q What did Mr. Bergen tell you about that fact?
j
i A That we were going through a period of conl
| verting our Pydraul fluids away from the higher chloriI
j nated biphenyls to chlorinated terphenyls because of
j the Government concern about finding these higher
! chlorinated, polychlorinated biphenyls in the environ-
| ment and our concern about that particular application
i
: being what we described as an open system versus a
! closed system and thus being a likely source in the
environment of PCBs.
; Q What particular application?
| A Pydrauls.
j Q When you say open application, canyou describe
i
i what you mean by that?
i.
! A It is a system where the fluid isnot contained I
I
and losses are incurred as the new fluid is used in its
hydraulic application and has the potential for escaping
into the environment.
Q Prior to your arrival in the Functional Fluids
Group, Monsanto did not restrict sale of its Pydraul to
closed uses, I take it?
.
L. 1>U
___________________________ Rev-t'~en Rkcrtkcmd Reporter
IJ4 Ro-tk L_a
Rtreet
R^kic^no, Illinois 6C603
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Gossage
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31
A They were in the process of doing that at
the time I came to the job. Mr. Olson, my predecessor,
as I understood at the time had been around to the
industry talking about the Government's concern and
about our moving toward a reformulation of those
products.
Q Prior to that reformulation period Monsanto
did not restrict its sale of Pydraul to closed uses?
A Prior to that period in 1970, they did not.
Q What is the basis for your knowledge that,
i as you testified, certain PCBs accumulate in aquatic
| species?
A From what I said earlier, from articles in
the trade journals, from Government reports and commu
nications and through our research organization as it
translated that information to us in the market.
Q What were you told, who in your Research De
partment told you that certain PCBs accumulate in aquatic
species and animals?
A I don't recall who would have first told me.
Bill Richard certainly would have.
Q Can you recall any specific articles or reports
that you read concerning the accumulation of certain PCBs
in aquatic species?
.
TU L
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32
j A Nothing specific. There were a number of | reports showing up in early 1970 when I joined and maybe
j
shortly before that on that subject.
As I say, many of-
them were published in journals.
i ! Q When you refer to reports, are some of those
j Monsanto internal reports?
i
; A I am sure that in the routine monthly reports j
| there were citings of published articles on the findings j i of PCBs in the environment.
! Q When you became affiliated with the Functional i
j
| Fluids Group in 1970, to your knowledge was there anyone i
i
: at Monsanto who had direct responsibility for the en
vironmental impact of Monsanto fluids?
^ A Bill Papageorge.
' Q Do you know when Mr. Papageorge assumed that i
| responsibility?
1 A It was before I joined the group and I cannot ( j tell you exactly when it was. He had not been there i : very long when I moved in the position.
i Q Prior to Mr. Papageorge assuming the position I
of research on environmental impact of Monsanto fluids,
was there another person at Monsanto who assumed that
position?
i
[ A You said research this time.
He was not
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33
j responsible for research.
II environmental impact.
He was responsible for the
Q What was Mr. Papageorge's title?
_
A Product Acceptability Manager.
; Q Was that a new position when he assumed it?
A Yes. i
, Q So as far as you know, no one prior to Mr.
I j Pa,ageorge had any involvement with the environmental
i impact of Monsanto fluids?
j
MR. SCHINK:
Wait a minute. Are you asking was
I that position created and was Mr. Papageorge the first
; person *o occupy it, or are you asking who carried out
those re ponsibilities prior to his assuming that job?
BY MS. KEJ LY:
Q V. is there anyone at Monsanto who carried out
: those responsibilities under any title?
, MR. SCHIi'K: Any single person or a group of people?
1
MS. KELLY:
Either.
1 BY THE WITNESS: I , A There wis no individual within the Business ! j Group that had a fill-time responsibility. The responsi-
!_ | bility was shared by a number of members of the business
; group and by various corporate staff groups. j BY MS. KELLY:
!'
!.
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| Q Who were thosepeople?
j i A Certainly within the business group, it would
| have been shared by the Research Director.
Q Who was that at that time? i
.
j A Bill Richard; by the Manufacturing Manager.
i
! Q Who was that in 1970?
; A Jim Savage.
I' | Q Anyone else?
A Well, the Business Director would have overall
: responsibility.
i Q Who was the Business Director in 1970?
' A Howard Bergen. That would be the major managers
j i
i with responsibility in that area before Mr. Paipageorge.
j
As I said though, there were corporate
| staff people who shared in that responsibility.
; Q How many chemists were there in the Functional
i
i I Fluids Division in 1970?
I
I
|
MR. SCHINK:
What do you mean by chemists, people
! i
! who had chemistry backgrounds or people who had that
i
!
title?
BY MS. KELLY:
Q People who had chemical educational training.
A
J or --
I
Chemistry as compared to chemical engineering
. j_. Urb^n
j___________________________________________________________________ .
(Certified 3k ortRnd Reporter 134 3uth \_o 3^1 le o \cooo, | llinois 6C603
WATER ~PCB-00053555
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35
I Q Take chemists first.
| A I don't know specifically. I ! Q Are you familiar with anyone elsebesides
!
! yourself who had a chemical engineering degree?
_
! A Within Research, all of theResearch pro
fessionals would be chemists or engineers of some
training, mechanical, chemical, electrical; some
; physicists. I ; Q So out of the 50 to 60 employees in the
| Functional Fluids Division which you were employed by
: Monsanto in 1970, it is your testimony that approxi-
; mately all of them had some chemical training?
1 A No, I said all of the professionals in the
!
1 Research Department.
1 Q How many are professionals in the Research
i ; Department?
I j A I said earlier there were about 20 in Market-
| ing out of that 50 or 60. Research was the largest
; group and it would have constituted 30 to 35 professionals
i and technicians. I have no recollection of what the i ,, j split was between the professionals and the technicians . I It was predominantly professional.
I
i
Q Will you describe your direct responsibilities
as when you joined the Functional Fluids Group in 1970?
L
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Gossage
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36
A I had worldwide responsibility for the market
ing and sales of all the products produced in that
business group.
'
' Q Did you deal with salesmen on a day-to-day
' basis?
A Not on a day-to-day basis. They were part of
the organization.
; q Did you have customer contact? A Some .
! Q When would you have customer contact? A At any time during the period I was in that
job, I tried to develop some relationships with most of
the major customers and there would be not frequent,
but occasional trips out to visit customers.
Q Did you at any time after 1970 have contact
with Johnson Motors personnel in Waukegan, Illinois?
A Yes .
Q Did you ever visit the Waukegan Harbor Plant?
A Yes .
Q How many occasions?
How many occasions after 1970?
Q Yes .
A Two that I recall.
Q I assume you never visited the Johnson Motors
. ""fhee> 1_.
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134 ScjR L 9^ Rtreet
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37
I Plant prior to 1970 ?
i
I A Yes, I wa s just clarifying whether you meant
in 1970 or after 19 70 .
Q Did you b efore joining the Functional Fluids
I Group in 1970 have any involvement in die casting opera-
II tions ? A
No, I did not.
Q Any famil iarity with how that process works?
A No .
j Q Did you have any contact with the use of
I : hydraulic fluids?
A Prior to 1970?
: Q Prior to 1970.
! A Yes, not for industrial applications; for
! aircraft applications.
; Q Did your involvement with hydraulic fluids ! ! prior to 1970 ever bring you into contact with Pydrauls?
i A No .
| Q Prior to 1970, did your contact with hydraulic i
! fluids have any involvement with other PCB-bearing fluids?
A NO .
Q At the time you joined the Functional Fluids
Group in 1970, you testified that the department was in
the process of changing over from Pydrauls bearing PCB.
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38
Can you tell me what the purpose of that
was? A
What the purpose --
Q Of the changeover was.
MR. SCHINK:
He already testified to that.
You may repeat it if you wish. BY THE WITNESS:
A It was our awareness that the Government was
i
j becoming concerned about the presence of PCBs in the
| environment --
!
i BY MS. KELLY:
| Q What did you -- I am sorry, I didn't mean to
i I cut you off. I
i
i A And the identification that Pydrauls and what i | you described as adhesive applications were applications
i i j that we would define as open systems that would have a
| high probability of resulting or could result in some
environmental build-up.
; Q What did you inform the salesmen about this i ! changeover?
A I didn't inform the salesmen of anything.
Q You never had direct contact with the salesmen
to inform them of this changeover?
A That would not have been done by me. That
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39
I would have been done by people who reported to me . i
Q Who would have had that direct responsibility?
A Yes .
-
Q What are the names of those --
|
MR. SCHINK:
You want to know who did?
I BY MS. KELLY:
j Q Who did the informing of the salesmen about |
j the changeover?
I
I A The responsibility about informing the salesmen i j t# i and training the salesmen on the conversion at that time
j would have rested with Norm Johnson. j
Q And the changeover that we are --
I A Let me just -- Norm Johnson and Larry Bradford
: because there was in early 1970 an organizational change
| where these two had slightly changing responsibilities.
!
MR. SCHINK:
You mean '71 or 1970 with Bradford
|
and Johnson's responsibilities changing?
THE WITNESS:
I guess that's '71, yes. It was
i Norm Johnson .
MR. SCHINK:
It was after you took on the job as
Sales Director?
THE WITNESS:
Yes .
MR. SCHINK:
Excuse me.
THE WITNESS:
You're right
I have a year there,
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a Icjc^o, (Nines ^
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i j
ij it is '71 they made that organizational change.
I
BY MS. KELLY:
Q
So in 1971 it was Mr. Johnson who had that
*
responsibility?
I A In late 1970 when I came on the job, it was
i
iI Norm Johnson who had that responsibility.
i
In December
! of that year when another group was combined, as I
I iIII testified to earlier, there was an organizational change
and after that time, which would be early in '71 and
beyond, it would be Norm Johnson and Larry Bradford.
I Q Is the changeover you are referring to now the changeover from use of Pydraul A-200 to Pydraul A-200B?
A Yes .
Q What is your knowledge of the chemical compo
sition of A-200B?
A I have no specific knowledge of it now. I
would have known the composition then. I can only tell
you now the A was a chlorinated biphenyl and B was a
I chlorinated terphenyl, but exactly the level of
II chlorination, I have no recollection.
Q Did you learn at any time that Pydraul A-200B
contained PCBs in any amount? i A State that again.
Q Have you learned at any time whether Pydraul
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I Gossage - direct i
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! A-200B contained PCBs in any amount?
i
MR. SCHINK:
In your question you are asking not
what it was formulated with but what it contained?
MS. KELLY: j BY THE WITNESS:
What it contained,
; A Yes. j : BY MS. KELLY:
i Q When did you learn that?
I i A Sometime after the product was introduced and
I would say in the latter half of 1971, but I'm not sure
of when .
I was aware that the polychlorinated
: terphenyl which would include 200B was contaminated
with minor amounts of the chlorinated biphenyls.
i
1 Q Is it your testimony that Pydraul A-200B is i! J not formulated with PCBs? i i A That is absolutely correct.
j Q Is it also your testimony that Pydraul A-200B | was never intended to have PCBs in it but was simply
j contaminated?
A That is correct, contaminated in that process
for making the terphenyls would not be able to deliver
j a product that did not have parts per million of
J chlorinated biphenyl.
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134 South \_a <RoHe Street
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Q Why is that?
A Because the separation of the raw materials
which is biphenyls and terphenyls could not totally
"
separate out the biphenyl and when you chlorinated the
resulting terphenyl, you would likewise chlorinate what
ever minor contaminant of biphenyl that was contained
in the terphenyl and that would result in a minor amount
in parts per million of chlorinated biphenyl.
Q How did you learn that?
A It was, it came up in one of our staff meet
ings. I believe I posed the question myself to Bill
Richard as to whether we might not expect to find some
minor quantities of the PCBs in the chlorinated ter
phenyls .
Q Was that because of your knowledge of how
Pydraul A-200B was formulated accompanied with your
knowledge of chemistry?
A No, it would be more my knowledge of chemistry
and my knowledge of the process for making the chlori
nated terphenyls.
Q When was this that you discussed this fact
with Mr. Richard?
A I don't know exactly. It was sometime before
the end of 1971, I would guess somewhere near the latter
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43
half of the year.
Q What did you do after you discussed this with
Mr. Richard?
-
A Well, I'm sure that Research did some analytical
work to determine the level of PCBs in the chlorinated
terphenyls and that resulted in much discussion within
the business group about withdrawing that product since
the Government was becoming even more concerned about
the environmental problems of PCBs.
Q I take it you did no analytical work in order
to come to the conclusion that Pydraul A-200B contained
PCBs in whatever amount?
A The data was developed about that time and
the results were presented to the management of the
business group.
Q But my question is when you suggested to Mr.
Richard at the staff meeting sometime at the end of 1971
j that PCBs were likely to be present in Pydraul A-200B,
t , you had done no analytical work? i [ A I had done none. I would not have done any
analytical work myself. It was more of an inquiry of
wouldn't we expect to find low levels of PCBs in those I products.
Q And that was from just a basic understanding
j.
'fkea |__
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*
Gossage
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44
! of the chemical composition?
A And the process for making the product.
i
j
Q What was Mr. Richard's response when you
~
j informed him of the likelihood of the presence of PCBs
in the presence of Pydraul A-200B?
A I don't recall other than he would have not
confirmed but said it was worthy to look at analytical
: procedures for low levels to see and see if they were
' in the Pydrauls .
Q Who did he contact in the Research Department?
A I don't know.
Q Do you know who conducted the analytical work
to determine if PCBs were present in Pydraul A-200B?
i
A Who specifically, no.
|Q
I done?
Under whose supervision would
that have been *
A Bill Richard's.
Q What was the action taken byMonsanto after it
| 1 was determined that Pydraul A-200B contained PCBs?
; A Within a reasonable period of time thebusiness
decision was made to once again reformulate the product.
Q What is that reasonableperiod of time?
Ii
j A Within a few months.
I j Q Approximately the very end of 1971?
j
T^ed i_. U^jn
!________________________________________________________ ______ Ce-t;U ortr^nd Reporter -----
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(^kicj^o. Illinois 60603 XIO WATER_PCB-00053565
Gossage
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45
A Certainly before the end of 1971.
Q You testified before that you did not have
any direct contact with salesmen regarding the reformu--
lation of Pydraul A-200A, is that correct?
A That is correct.
Q Did you prepare any reports or memoranda -
MR. SCHINK:
Did you say Pydraul A-200A or A-200?
I believe you asked him previously about the reformu
lation of Pydraul A-200 and he said that was the res
ponsibility of Mr. Johnson and Mr. Bradford to deal
with the salespeople.
Is that the testimony you are alluding
to?
MS . KELLY:
Let us clarify that.
BY MS . KELLY:
Q Did you have any direct contact
concern ing the reformulation of Pydraul A
A-200A?
A No.
Q And you had no direct --
MR . SCHINK:
Do you mean A-200B?
MS . KELLY:
No, I mean A, 200A.
BY THE WITNESS:
A I think it is 200 to 200B.
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46
| BY MS. KELLY:
ii j Q Are you familiar with a product manufactured
and marketed by Monsanto at any time bearing the trade
| name Pydraul A-200A? I ; A I am speculating.
MR. SCHINK:
You don't have to speculate. If you
I know anything about whether there was such a product
, ever manufactured and sold by Monsanto, you certainly
; can testify about it. BY THE WITNESS:
A Well, I don't know.
BY MS. KELLY:
Q Was there ever a reformulation of Pydraul
; A-200?
; A There was a reformulation of Pydrauls from
!
chlorinated biphenyls to chlorinated terphenyls . Those
: products, the terphenyls were called the B series
! products. Pydraul A-200B and so forth, those were all
the B products.
i
Q Are you familiar with the marketing and |
| knowledge of manufacturing of Pydraul F-9?
i j A Yes.
| Q Was Pydraul F-9 marketed while you were in
j the position of Business Director in the Functional
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' Fluids Division? I A Yes .
j Q Were you involved with the reformulation of
I j Pydraul F-9?
-
I A I was involved in the reformulation of all of
; the Pydrauls from the chlorinated biphenyls to the
chlorinated terphenyls.
i I do not remember all of the trade names
of the Pydraul series that were the chlorinated biphenyls.
; Q Do you remember how many times there was a r,
! I reformulation of Pydraul, Monsanto Pydraul products?
; A Twice.
: Q And what were the -
A Twice since 1970 that I am aware of.
I '
!
Q What were those reformulations? .
#
A Moving from chlorinated biphenyls to chlorii
; nated terphenyls and then moving from chlorinated ter-
phenyl to phosphate ester.
j Q What were the trade names of those reformu-
I lations from one to the next?
A The B series products were the terphenyls.
The E series products were the phosphate esters.
Q To date you do not recall any products manu
factured and marketed by Monsanto bearing the name
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48
; Pydraul A-200A? i' ; A I cannot distinguish between A-200 and A-200A.
That was when I was coining into the organization and I -
| don't know whether those products existed as independent
| products or not.
Q Did you prepare any reports or memoranda to
i be used in training salesmen with regard to the rei i formulation of Pydraul F-9 to Pydraul A-200?
! A No, I did not.
| MR. SCHINK: I object to the form of the question.
i
! It assumes that F-9 v/as reformulated into A-200. I
j have not heard any evidence in this case that that
j occurred. j j BY MS. KELLY:
Q Mr. Gossage, did you prepare any reports or
j memoranda regarding the reformulation of Pydraul A-200 1 ! to Pydraul A-200B for use in training salesmen?
; A No, I did not. I. | Q Were you involved in the preparation of any i I reports or memoranda that were used in the training of i
salesmen with regard to the reformulation of Pydraul
A-200B to 5OE?
A No, I did not.
Q What was your involvement with the reformulation . |_. t_JrL*n (^ei-lipied 134 (_ci (^kicsjo, Illinois 6C603 *,19 - 789-3332 WATER_PCB-00053569
I
Gossage
direct
49
of Pydraul F-9 to Pydraul A-200?
MR. SCHINK:
I object again. I think the testimony
in fact in this case is that A-200 was a product that
was developed at the time while Pydraul F-9 continued
j to be sold and that A-200 did not represent a reformu-
j
lation of F-9.
i BY MS. KELLY:
i
' Q Mr. Gossage, is it your testimony that Pydraul
i
I
: A-200 is a reformulation of Pydraul F-9?
ii i A I do not know.
(
,
' Q But you do know that at some time Monsanto
began marketing a product known as Pydraul A-200?
i
MR. SCHINK:
He has already testified that a
! I
product was being marketed at the time he assumed his
i
i position of Sales Director in October or November of
: 1970.
t
! BY THE WITNESS: |
1 A I have no awareness of their beginning to
i
produce. It was a product in the product line when I
i came on board. I I | BY MS . KELLY: I
i
! Q Was Pydraul A-200 a product on the product
I I j line the same time as Pydraul F-9?
i
j A I don't know that.
|.
TU L. IU-
I______________________________________________________ ______
----134 |_a e ~
(^kiccgo, Illinois 6'. ??3 312 - 782-333? WATER_PCB-00053570
\
i i
Gossage - direct
50
!
MR. SCHINK;
Were you marketing Pydraul F-9 when
iI
! you assumed the position in October of 1970# if you
i| recall? | THE WITNESS:
I am just not familiar with the
j product F-9 and when it was marketed; therefore, I can
i
! only relate to you polychlorinated biphenyls, polyj ' chlorinated terphenyls.
BY MS. KELLY:
Q What was your involvement in the reformulation
or the changeover from polychlorinated biphenyls to
polychlorinated terphenyls?
A As Sales Director I had responsibility of
converting the customers or having the Marketing Depart
ment convert customers to the new formulation.
(Mr. Bruce Featherstone entered
the deposition room.)
BY MS. KELLY:
Q Did you meet with any salesmen in that regard?
A You mean individually?
Q As a group or individually.
A I have no recollection of it.
Q Did you prepare any manuals or reports or
i
memoranda to be used in the training of salesmen wi th
regard to the changeover from Pydrauls that were I_ LJ^b^ri
RertifieJ Rhort^ lr|d Reporter ---------134 Roots \__a Rr>'!e Rtreet Illinois 60603 312 - 782-3332
WATER_PCB-00053571
Gossage
direct
51
polychlorinated biphenyls to Pydrauls that were poly
chlorinated terphenyls?
A No.
"
Q What type* of training was given to the sales
men with regard to that changeover?
A Responsibility for that training would have
been with someone who reported to me and I don't know
what type of training that was.
Q What did your, and I assume this is Mr.
Johnson and Mr. Bradford who had that responsibility?
A It was certainly Mr. Johnson. Mr. Bradford
may have come in after that reformulation. I cannot
tell you exactly when his involvement took place.
It was early 1971, but I don't know
whether it was before or after the salesmen training
would have taken place.
Q Did you give Johnson instructions as to how
the training of salesmen with regard to the changeover
should be conducted?
A No .
Q Did you read any reports prepared by Mr.
Johnson and Mr. Bradford concerning the training of
salesmen with regard to the changeover?
A I cannot recall that.
"T"ke<3 L- LJ^bein
__________________________________________________ --
134 Soutk l__o
Street
S^tnc<3<30, Illinois 6C603
WATEFSPCB-00053572
Gossage
direct
52
Q Did you inform either salesmen or any person
who would be involved with customers concerning the
conversion as to how to describe the reason for the
~
changeover?
A Ididnot.
Q Did anyone within the Functional Fluids Group
have that responsibility?
A Mr. Olson would have that responsibility before
me.
Q Did you review any of Mr. Olson's reports or
communications regarding how to inform customers about
the changeover?
A I read his entire files when I came on the
job.
Q As far as you were concerned, no further action
was necessary with regard to communicating to customers
the reason for the changeover?
A It was in the process of being implemented at
that time.
Q After you took over Mr. Olson's position in
1970, did you take any further action to communicate to
customers as to the reasons for Monsanto's changeover?
MR. SCHINK:
Which changeover?
BY MS. KELLY:
~j~hee< |__. (_JrLan -------------------------------------------------------------------------------------------------------------- <nd [TJcporter ------------------------------------------
134 1_a <2tT'eet
a icogo, Illinois 6C603
WATER^PCB-00053573
Gossage
direct
53
i i ! Q From polychlorinated biphenyl to polychlori| nated terphenyl in Pydrauls.
I | A I did not take any initial, I did not have I
I any meetings with customers at that time for that
i i purpose.
I Q Did you take any action as to instruct any
person as to how the customers, how it should be ex-
| plained to the customers, the purpose for the reformu-
I : lation, the changeover?
A The changeover had already been planned and !
; was in the process of being implemented when I cane on
, the job, and I did not have to take any additional
; action.
| Q How was that process being implemented?
I! A It had been agreed upon within the management
)
of the business group and the implementation of it was
initiated by communications to the customers and a
letter to the customer notifying them of our intention
of converting.
Q Did you receive any questions from customers
concerning that changeover?
A I did not.
\
Q Did you learn of any questions from customers
concerning the changeover?
Tke, L. LM-
-e-
134 0ouUi |_a 'e "7-
C^lcogo, IHinct -
312 - 782-3332 WATER_PCB-00053574
\
Gossage
direct
54
A Questions from customers regarding the change-
over?
Q Yes . A None specifically.
_
: Q Did you learn of any general?
, A Bill Papageorge was certainly involved with
a number of customer inquiries.
Q What did Mr. Papageorge tell you about
inquiries from customers concerning the changeover?
A That the conversion had taken place; that
: there had been no serious problems and that most of the
inquiries were just of an informational nature.
Q Did you learn anything specifically concerning
the changeover from Pydraul fluids bearing polychlori-
' nated biphenyl to polychlorinated terphenyl at Johnson
' Motors at Waukegan, Illinois?
: A No.
Q When was the changeover from Pydraul fluids
! or hydraulic fluids bearing polychlorinated terphenyls
to phosphate esters?
i
iI A Sometime in 1972,
j Q At that time Mr. Olson was no longer within
I I the Functional Fluids Group?
i
: A That is correct.
i
j_ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ (Certified
TU L UrU
irj Rerorte''- - - - - - 134 I_ a Street
jllmci? 60603
31? - 787-333? WATER_PCB-00053575
\
Gossage - direct
55
i Q He had not set up a procedure by which cus
i tomers would be informed of that changeover? 1 | A No. j q Were you involved in either the training of
I
i salesmen with regard to the changeover from PCT to
: phosphate esters or informing customers of that fact?
i A The responsibility for training the salesmen
: and informing the customers rested with people who
; reported to me.
t Q You testified that Mr. Olson had set up a
1 procedure by which customers were informed of the
.i changeover from PCBs to PCTs in Pydraul? A Yes .
i Q And you testified that letters had been sent i : to customers concerning that fact?
A Yes.
Q Did you review the letters sent to the
customers ?
A Which conversion?
Q The conversions from PCBs to PCTs now.
A Yes.
Q Was it a form letter?
A Yes .
Q Was the same letter sent to all customers?
QO L- Ur^n _________________________________
a 60603icago. |H;n=;r
WATEfTpCB-00053576
\
Gossage
direct
56
A Yes .
; Q Did you review any letters in response to the
| letters sent out by Monsanto?
i I A In response back to Monsanto? |
Q Back to Monsanto.
-
A None that I can recall.
Q Do you know of any process by which Monsanto
I
! kept a record of who to send the customer letters to?
; A Yes. We used, I think it's called an addresso-
i
graph system of all of our Pydraul customers.
Q How did you determine who the Pydraul customers
were?
We have records of who buys Pydrauls or any
product of Monsanto.
Q Records within the Functional Fluids Department?
A Within the division.
Q Whose responsibility was it to compile the
list to whom the letters concerning the changeover from
PCBs to
A The list was maintained by a staff department
which we now call our Customer Order Processing Group.
That list would have been made available to the res
ponsible people within the business group and they would
have reviewed the list.
. TU L. IR-
______________ __________________________ _______________ --------------------------------------------------154 S^ S'-1 e T"-"**'
Chicago, |llinc-: 5 512 - 782-5552 WATER_PCB-00053577
Gos sage
direct
57
It is my recollection that the list was
I reviewed by the Regional Office and by the salesmen to I j be sure it was up to date and be sure all customer name's iI ' | were on it. It was very carefully gone over so that we i j included everyone that bought Pydrauls within a reason
! able time.
: Q Was there any program of personal customer j
contact developed to follow up the letter? I | A You are still talking about the first?
Q The first changeover. | A I have no direct knowledge of what that program
entailed. There was salesman follow-up, but I can't
describe to you the nature of that and where it broke
of f .
' We didn't personally contact ail customers
: as a follow-up, but we certainly contacted major customers.
i.
MS. KELLY:
I would like to take a break now.
: (Brief recess had.)
i
. (Record read as requested.)
I
j BY MS. KELLY:
*
i Q Mr. Gossage, what were Monsanto customers told
concerning the changeover from Pydraul fluids bearing I
PCBs to PCTs ? I
.
;
MR. SCHINK:
You are now asking in general?
! Tbea L. U rban
______________ __________________________________ Certified ortRnd Reporter ---------------------134 [_a Street , C'\\IC00O, | !lino:c 60603
WATErIpCB-00053578
Gossage
direct
58
BY MS. KELLY:
Q Anything you know about what they were told.
A There were several customer letters that went
out at that time similar to and there was at least one
general letter that was similar to the first letter.
MR. SCHINK:
Just so I am clear, the question
relates to PCBs to PCTs, what customers were told
generally, the first conversion?
THE WITNESS:
I am sorry, I am thinking about the
second conversion.
.
BY MS. KELLY:
Q The Pydraul fluids with PCBs to PCTs.
A As I testified earlier, there was a customer
letter sent out to all customers informing them of the
concern of PCBs being found in the environment and our
decision to convert those fluids to polychlorinated
terphenyIs.
Q That was when -
MR. SCHINK:
I am not sure he has completed his
answer.
BY MS. KELLY:
Q Have you completed youranswer?
A Yes.
Q Was that after the customers were informed
_________ _______ _..______________________________________
Tkea L- U^n
Certified O'-tCnd Reporter
13.A Coutf \_a CRIe <S-ree|l!incit 6C503
----
" WATEfTpCB-00053579
Gossage
direct
59
that Monsanto was changing its Pydraul from PCB-bearing
fluids to PCT-bearing fluids, was that when the customers
were offered A-200B as a replacement fluid?
-
A It was one of the fluids, yes.
Q What were some of the other fluids?
A There were a whole series of numbers and I
really can't recall. There were some 400 series, I
believe some 100 series products.
Q The Pydraul A-200B was a replacement fluid
offered when customers were informed that Monsanto was
no longer going to market Pydraul bearing PCBs?
MR. SCHINK:
No, he testified that when they were
informed they were going to market a product formulating
PCTs .
BY MS. KELLY:
Q Could you respond to that question?
A Can you ask the question again?
Q Pydraul A-200B was the replacement fluid after
I the changeover from Pydraul fluids bearing PCBs?
j A It was one of the replacement fluids.
|
j Q And sometime after the changeover from Pydraul
j fluids bearing PCBs to PCTs , Monsanto changed from
| Pydraul A-200 which also contained PCTs?
t
A Yes.
j
I__________________________________________________--
.
Tk L. UrU
Certified SC'-tnond |C6porteT' ----------------------134 Soutk 1__o S-dle Street
o icogo, | llinci? 6C603 31? - 7fl?-333? WATER_PCB-00053580
Gossage
direct
60
Q Were Monsanto customers informed that Pydraul
A-2 0 OB contained PCBs?
A Repeat the question again.
~
MS. KELLY: Could you reread it?
(Question read.)
BY THE WITNESS:
A I can't testify that all customers were told
that.
BY MS. KELLY:
Q Were some customers told?
A Yes .
Q Which customers?
A The ones that I personally had knowledge of?
Q Yes ,
A Johnson Motors and one other customer that I
personally have knowledge of.
Q Who is that other customer?
MR. SCHINK:
You can identify it.
BY THE WITNESS:
A General Motors.
BY MS . KELLY:
Q Is the General Motors that you are referring
to here located in New Bedford, Indiana?
MR. SCHINK:
'
General Motors is General Motors
Tkea L. 1>U
______________ ___________ _____________________ (Re^tiRd
^d Reporter
134 L* Street
(^hic^cjo, lilinci? 60003
in
t,z,"z,^
WATER_PCB-00053581
\
Goss age
direct
61
i ! located all over the country. I I
j BY MS. KELLY:
Q
Did the customer which you referred to as
-
j General Motors use a Pydraul A-200B in New Bedford,
Indiana? i
j A I don't know that it used A-200B.
I Q Was there a General Motors Plant in New
i
j Bedford, Indiana which was changing or using hydraulic
i .. i fluids m 1971?
| A I do not recall the specific location.
i
Q To your knowledge, were any other customers
besides Johnson Motors and General Motors informed
i l ! about the presence of PCBs in Pydraul A-200B?
i
'
MR. SCHINK:
By Mr. Gossage?
:
MR. POPE:
No.
t
| BY MS. KELLY:
i
; Q Anyone at Monsanto. j
II'J
MR. SCHINK:
He testified that he knew of two
j customers that he dealt with on that subject* i)
BY MS. KELLY:
Q As far as you know, Mr. Gossage, were any
other customers informed of the presence of PCBs in
Pydraul A-200B?
MR. SCHINK:
He has already answered that question
i
j Tk eo L. IU-
iCertif-led
J Rep orter -----
134 L<3
Jllinc's 60603 n _ 7AO_'z1^'*,9
WATER_PCB-00053582
Gossage
direct
62
generally before he got into the two specific customers.
BY THE WITNESS:
A
I only have direct knowledge of those two
-
cus tomers .
BY MS. KELLY:
Q Did you instruct any of the people who worked
j under you at Monsanto to inform Monsanto customers of
! the presence of PCBs in Pydraul A-200B?
1 A I certainly informed those working for me who
: were involved in this to be honest and open with the
' customers and inform them of the reasons that we were
converting to the phosphate esters .
: Q Who did you instruct?
; A Larry Bradford and Norm Johnson.
!
MR. SCHINK:
And the reason you were converting
* to the phosphate esters was because of the trace
; presence of PCBs? I!
! THE WITNESS:
Contaminant presence of PCBs and our
| concern about that getting into the environment, if our
customers were not careful in the use of the product.
MR. PATTI:
Could you read back her last question
and his last response, please. (Record read.)
BY MS. KELLY:
Theo L UT'^n
__________________________________________________________________
154 Rout^ |_o Ralle Street
. o \coqc, | llinoi? 6C603
IIO 7flO.7,-z,710 WATER_PCB-00053583
%
Gossage
direct
63
Q You did not specifically tell Mr. Johnson
or Mr. Bradford to inform customers that Pydraul A-200B
j.
; contained PCBs, did you?
I
I ... I A I would have given no instructions on any
.
I individual product. I gave them broad policies on how
' we would communicate to the customer, the change of
| all of our Pydrauls from chlorinated terphenyls to | phosphate esters.
' Q Did you inform Mr. Bradford or Mr. Johnson
t
j that Pydraul A-200B had PCBs in them?
! A They were certainly aware of it. I cannot
tell you whether I informed them or Research informed
them, but however, they were aware of it.
i Q How do you know they were aware of it?
i | A Because it was discussed between Bradford
| and myself in preparation of those customer visits that
I made.
Q Did you discuss it with Mr. Johnson?
A I can only tie down the discussions with Mr.
i Bradford in relationship to the meetings that I had with j ! him about customers.
i Q Mr. Johnson may have been present at those
meetings but you cannot -
A I cannot tell you that he was or he was not at
|
i____________________________________________________________ _________ ______
TU L.
C^erl^ieJt
^ : "ter
134 *5^ I_o ' e
Chicago, I I line r '3-3
---------
312 - 782-333?
WATER_PCB-00053584
Gos sage
direct
64
the customer meetings.
Q Did you review any documents that were cir
culated to Monsanto salesmen of hydraulic fluids which -
informed the salesmen that PCBs were present in Pydraul
A-200B?
A I reviewed all of the letters that went out
to the customers and would have also gone to the salesmen
notifying them of our plans to convert.
Q Did any of those letters to the salesmen
inform the salesmen that Pydraul A-200B contained PCBs?
A I cannot recall.
Q Did you prepare any memorandum to any person
at Monsanto informing those persons that Pydraul A-200B
contained PCBs?
A I cannot recall any specific memo. It was
broadly discussed and generally known within the business.
Q How do you know it was generally know?
A It was generally known amongst all the people
that I related.
Q What was generally known?
A That we were converting frompolychlorinated
terphenyls to the phosphate esters because of our
knowledge of small amounts of PCBs as a contaminant
in those formulations.
__ _______________________________________._______________________________
e& 1_. SJ'rbcin
Certified
lr|d Reporter --------
134 Routk \_a R.-jHe Street
a \caqo, | llmois 60603
31? - 782-333?
WATER_PCB-00053585
\
i
t
Gossage direct
65
! Q You cannot recall any specific document which I
informed Monsanto personnel of that fact? ,
A I cannot come forward with any specific
"
written document.
: Q Can you recall any meeting besides the meeting
i
: at which you informed Mr. Richard that it was your
i opinion that Pydraul A-200B would contain PCBs other
i'
j than at that meeting? i i. | Can you recall any other meetings at
which that fact was discussed?
i
! A Well, there were a number of discussions on i ! that subject as we planned for the conversion to the
phosphate esters. There were specific meetings for 1 preparation of customer visits where I was involved in
i.
| where it was discussed and it was discussed at customer
j meetings.
Q Did Monsanto prepare a second set of letters
to go to customers who had previously received the
letter concerning the changeover from Pydraul fluids
bearing PCBs to PCTs?
Was there another general letter that
went out informing them that Pydraul A-200B contained
PCBs?
A There was a general letter that went out
|_. LJr'br'r'* __________________________________________________Certified ortRrd Reporter ---------
154 L<a Street C^tiicooo, Illinois 6C603
312 - 782-3332 WATER_PCB-00053586
\
Gossage direct
66
notifying the customer of our intent to withdraw the i' i terphenyl product and reform using the phosphate.
! Q That letter did not contain any reasons,
i reference to the presence of PCBs in Pydraul A-200B?
i A That I do not know. I ; Q When did you learn that Pydraul A-200B con-
i
; tained PCBs? ! j A I learned that the Pydraul series of poly-
i
' chlorinated terphenyls, that is separate from that one
i
; individual product, sometime during 1971, before the
end of the year; probably somewhere around the middle
i of the year.
Q And was that when you first suggested it to
; Mr. Richard?
i A That is my recollection.
i
i.
| Q Prior to that had you ever been involved in ! I any discussions concerning possible presence of PCBs in
j
! the PCT-bearing fluids?
f|
i A No.
i
j Q In 1970 when you joined the Functional Fluids
(
Group, was Johnson Motors the largest purchaser of
Monsanto Pydraul fluids?
A They were one of the largest. I really can't
say whether they were the largest or second largest or
Tkea L 1>U
CertifieJ Sk ort^cin J Per- 'fcJr 134 Sou tk Lo S.He 9 * ^ee*
Pkicogo, Illinois C'-6~ i
312 - 782-3332 WATER_PCB-00053587
Gos sage
direct
67
third largest/ but they were certainly in the top three
or four customers.
Q When you took over the job in the Functional
Fluids Group in 1970, did you familiarize yourself
with hydraulic operations in die casting plants?
A No. You mean the technology or the applica
tion of the fluid in die casting?
Q In any .
A In no depth.
Q Did you review it in any depth?
A I was aware, I became aware and familiarized
myself with the various uses of Pydraul in various
pieces of equipment.
Q How did you familiarize yourself with the uses
of Pydraul?
i A By talking with those in the Marketing Depart
i I ment who had some expertise on that and by reading what-
j ever documents were available in the file and talking
to Research.
i
i Q What documents did you review?
i
! A Certainly the long range plan and any market-
i.
ing plans or business plans that would have been available
at that time .
i
J
[RertifieJ
Q
What do you mean by the long range plan?
"Tkeci L- UT'b<3n
Reporter -----134 5eutk [_a Rdlle Street
o icagc, | I! i nets' 60603 31? - 782-333? WATER PCB-00053588
I
Gossage
direct
i
68
i a Each year each business unit of Monsanto
j writes a long range business plan that covers five,
| ten years of forward forecast of the markets that we ii
i
jI serve, both financial and technology and business| related. i
Q Do you recall whether you reviewed the long
_
j range plan regarding the Pydraul fluids marketed by
j Monsanto? tI
A I reviewed all of the long range plans of
; the products that I was responsible for. i
:
MS. KELLY:
Have these documents been produced to
| OMC?
|
MR. SCHINK:
Any document that has been called
for has been produced subject to the objections we
raised with respect to the second set.
J MS. KELLY:
Well, do you know if you objected to
these, the production of these documents?
i j MR. SCHINK: If those documents were called for, 1I i they were produced if they existed. f
MS. KELLY:
Let's go off the record for a minute.
(Discussion off the record.)
BY MS. KELLY:
Q What was the forecast for Monsanto's hydraulic
)
(
j fluids market in 1970? I
Certified ortl^dinj [Reporter
! 34 L* C^hic^^o, (Ifmctr 6-603 312 - 782-3332
-
WATER_PCB-00053589
Gossage direct
69
A What was the forward forecast?
Q Yes .
A I don't recall.
~
Q Do you recall that any mention that the for-
j ward forecast -- and I assume you are referring to an
j economic forecast?
I i A I said economic,technology and business foreI
! casts for all the products that we sell.
t
j Q Was there any mention in the forward forecast
or any discussions you had concerning the forward forecast
: regarding the effect of the presence of PCBs in the en
vironment on Monsanto sales, the future sale of Pydraul
i fluids? !
i MR. SCHINK:
. Does he recall whether that was
I specifically discussed in a 1970 plan, is that the i
ii question?
j
MS. KELLY:
That is correct.
"
i BY THE WITNESS:
Ii A I cannot specifically recall.
BY MS. KELLY:
Q Do you remember any discussions with any per
sonnel at Monsanto concerning the effect of the presence
of PCBs in the environment on the profitability of the
| sale of hydraulic fluids?
I.___________________________________________ Certified
eo L. LUon
ort^ond [^eportT -------------------------------------134 1_0 S''3^'e Street
Illinois' 6C6G3 312 - 782-3332
WATER PCB-00053590
Gossage direct
70
A No. Q You testifiedthat - A This was in1970, you say? Q In 1970.
At any time since your involvement with Monsanto hydraulic fluids, do you recall discussions concerning the impact of the presence of PCBs in the environment on Monsanto's market share of the sale of j hydraulic fluids?
j A Market share? I
i
, Q Yes . I .I A No .
1 Q Do you recall any discussions concerning the il : profitability of Monsanto's hydraulic fluids as affected
! by the presence of PCBs in the environment?
I
I A We were instructed as a business group, the
| management of the business group, to disregard any
' concern about the profitability of the product --
Q Who was --
1 MR. SCHINK: I
BY THE WITNESS:
Let him complete his answer, first.
A (Continuing.) -- and to take those actions
that seemed appropriate to be responsive to the Govern
ment concern, to the environmental concern about those
j.
L Ur!*TM
j^ertifieJ
f^eporter - - - - - - - - - -
1^4 0cutti |__<j ?ol!e Street a icc30, Illinois 60603 312 - 782-3332 WATER PCB-00053591
Ii Gossage direct
71
; products.
I | BY MS. KELLY:
i
| Q Who was the Business Manager?
'
iI | A Howard Bergen.
i.
!
MS. KELLY:
Would you read back his second to the
j last answer.
| i! ;
j
!
t
i
; !
BY MS. KELLY:
(Record read.) (Gossage-OMC Deposition Exhibit No. 1 marked for identification, 7/29/81, TLU.)
i Q Mr. Gossage, I'm going to show you what has
j"
! been marked as Gossage Deposition Exhibit No. 1. I
i
' would like you to take a look at that. It is a nine-
j
! page memorandum dated December 8, 1971 from Mr. Bradford
i
i to yourself.
.
! ; A Do you want me to read the whole thing?
| Q I'm going to call your attention to the first
j
| paragraph on Page 1 under the paragraph entitled
|
| Objective.
First I would like to ask you -
A Wait, let me read that.
I have read it.
Q Have you reviewed this document recently?
"Phed j_. PJrLdn
(Certified CCrtr^nd ("reporter -----------------
134 Coeth L*
Street
o icogo, 111 ino9 60603
312 - 782-3332 WATER PCB-00053592
I Gossage direct
72
A No.
I Q Is this a document that you received some
time around the date it bears?
.
j A Itwould appear so. I
| Q Is this a document that is kept in the regularly
i maintained business files of Monsanto?
i
i A Repeat that again. 1 i Q Is this a document that would be
found in the
| regularly maintained business files of Monsanto?
i A I really don't know.
j Q But you assume you received this
I ; the date it bears?
on or about
! A Yes .
i
i
! Q From Mr. Bradford?
i
j A Yes .
1
j Q After reading the first paragraph under the
| section on Page 1 labeled Objective, Mr. Gossage, I |
| would like to ask you if it was in fact Monsanto's i j objective to salvage as large a share of the market as
i
possible at a profit?
MR. SCHINK:
I object to the form of that question.
Your preceding questions related to a 1970 plan and
I objective and their PCB to PCT transition. Now you
have jumped ahead two years to a separate transition.
.
j_____________ __________________________________ ortl'cmd Reporter
'
eo |_. LJ rbcin
---------------------------------------------------------------------
IM Sou tli La
5Lreet
a \cooo, I llinc:? 6C603
31? - 787-333?
WATER_PCB-00053593
Gos sage direct
73
Are you now asking him about that transition as opposed
to the earlier transition?
MS. KELLY:
Could you repeat my question and
'
Mr. Gossage's response two questions ago?
I J | BY MS. KELLY:
(Record read as requested.)
I Q Mr. Gossage, after reading the first sentence
of the paragraph labeled Objective on Page 1 of the
Gossage Deposition Exhibit No. 1 which states:
j
"Our objective in this transition program
simply stated is to be out of PCBs/PCTs by June 30, 1972,
j to salvage as large a share of the market as possible
i
j at a profit..."
i After reviewing that sentence, is it
jII your testimony that Mr. Bergen altered his instruction
| to you concerning Monsanto's concerns in 1971?
A No. The statement is the objective in the
transition program is simply stated to be out of PCBs/
PCTs by June 30, 1972.
That was consistent with the policy that
we had received from the company, that we will do what
ever is necessary regardless of the profit impact to
be responsible and to withdraw the products that could
be causing environmental exposure.
.
_________________ Certified
L
e. 1
134 5utti La
U^
Chicogo, Illinois 62^-3
312 - 762-3332 WATER PCB-00053594
Gossage
direct
74
Q I take it then you disagree with the sentence
or the portion of the sentence in Deposition Exhibit
No. 1 which states that, "Our objective..." is "to
"
salvage as large a share of the market as possible at
a profit"?
1 A I would take exception to it if stated by I
: itself. The objective is to be out of PCBs and PCTs by I
June 30, 1972. That was the overriding objective at
j that time.
j Q After reviewing the sentence which we have
reviewed on Deposition Exhibit No. 1, that objective
ii
stated there accurately summarizes Monsanto's objective
` on or around December 8, 1971?
i
| A Taken in its entirety, the objective was to
i
j withdraw those products from the marketplace. I{ . j Q After reviewing the portion of that section ii
i
I and continuing on where we left, "and to be left with I i. j zero inventory of our current fluids," how was it that I
| Monsanto intended to obtain a zero inventory of those
j fluids?
A By timing the transition from one fluid to
the other. As we converted customers from the old product
to the new product, we would do it in a manner that we
I
would end up with nominally zero inventory.
Tkeo L. UrU
______________________________________________________ 154 Soutk |_* SflHe Street Q; caqo, | llinc ;5 60605
WATER_PCB-00053595
Gossage direct
75
i
i
Q By selling the inventory that you had to your
current customers?
Iiii A By scheduling our production so that we did i
not end up with inventory. i
At the time you initiate, we initiated
-
the transition, you would have a certain inventory of
these products and you would have certain production
capability of new product.
You had to make that transition and i
plan your production of old product so that you ended
i your total conversion with nominal, zero inventory.
Q But during that period of time, you were ! selling the inventory which you had to customers?
A We were converting the customers as quickly
as their programs would allow them to convert by using
I inventory which was in Monsanto's possession, inventory
i
and the planned production.
The target date had been set of June 30
I to have been completed at that time. I guess, I think
I we need to point out, which I am sure you know what I
would at least like to say, we were under no Government
action to withdraw this product. We were doing it
voluntarily in consultation with the Government as being
t
i
appropriate action based on the information that was
"J'keo L- Urbi'in*
L ._________________________________________________________
!34 !e Street
a icjgc, | ! 'me it 60603 312 - 782-3332
WATER_PCB-00053596
| Gossage - direct I!
76
i available to them and to us at that time.
They knew what our program was and we
couldn't shut down the steel industry, the aluminum
industry, the die casting industry by not providing
a reasonable time, nor would our lawyers allow us to
| be precipitous in the conversion of that.
MR. PATTI:
Could you read the first part of his
; answer.
I (Answer read as requested.)
BY MS. KELLY:
Q What do you mean by planned production?
A We have to schedule our production. We have
to tell our plant how much material to produce, how
!l much material to formulate of each formulation. We ! had to balance what we had in inventory versus what we
were producing to balance what the customers needed
! after they made the conversion.
Q After Monsanto decided to change from PCB-
bearing fluids to PCT-bearing fluids, Monsanto continued
to use PCB-bearing fluids which had already been pro
duced, is that correct?
A Run that by again.
Q After Monsanto decided to change from PCB-
bearing fluid to PCT-bearing fluid, Monsanto continued
ea L- U^n
_________________________________________________-________ (^eT'tit'ied
134 |_a 5^^*' (^hicogo, Illinois 't
312 - 782-333? WATER PCB-00053597
Gossage direct
77
j to use the existing inventory of those PCB-bearing
fluids ?
A We now have switched from the phosphate ester
conversion to the first conversion?
! Q Yes .
A Most of the polychlorinated biphenyls had
: ongoing production for other applications as we made
the transition from polychlorinated biphenyl to poly-
i
! chlorinated terphenyl. When we made this transition,
I we would have no further use of PCTs, When we made i
! the transition to phosphate esters, we would have no
i use because there was no more use of that product.
t
j Q Mr. Gossage, you had testified about the
| Government's concern in 1970 about PCBs in the environ-
ment.
j Did Monsanto share that concern that j
! PCBs in the environment could present a danger to
I ; humans?
i
Ii A In 1970?
MR. SCHINK:
Now, he didn't testify that that was
the Government's concern. He said the Government's
concern was the presence of them as I heard his testimony.
Is the question did Monsanto know that
there was evidence that PCBs were present in the
"fhec L- l_Jr^n
_______________________________________ _______________ Certified S.hortrond Reporter
---------------------------------------
154 Soutl> L* S<all Street
a icaqo, 11 !ino*r 60603
312 - 782-3332
WATER_PCB-00053598
Gossage direct
78
: environment in 1970?
J
BY MS. KELLY:
Q Mr. Gossage, you have testified that it is
i your understanding that PCBs have some toxicity to
! animals.
|
MR. SCHINK:
He testified that as of 1980 it is
;
i his understanding they are not highly toxic material, I
I but they can accumulate in certain species. Is that
i ! the testimony you are referring to?
j MS. KELLY:
I j BY THE WITNESS:
Correct.
`
! A That question related to my current knowledge i 1 and the source of that knowledge.
j BY MS. KELLY: !.
j`
; Q In 1970 you have testified !
that the Government
was concerned about the presence of PCBs in the environj
! ment?
*|
| A They are concerned, yes.
i Q And they were concerned in 1970?
J
A About the presence in the environment, yes.
Q Did Monsanto share that concern of the Govern
ment ' s ?
A We recognized in 1970 that there was PCB
present in the environment.
________________________________________________ _____ 134 L* o \c0qo, Illinois 6G603
31? - 78?-3332
WATER_PCB-00053599
I Gos sage direct
j
i
79
i Q What was your understanding of the Govern-
i
ment's concern about the presence of PCBs in the
environment?
.
A What was my understanding then?
; My understanding was they were concerned I | about the build-up of any chemical in the environment.
| Q Did Monsanto share that concern in 1970?
MR. SCHINK:
Other than insofar as they took
the steps that he has indicated in response to that?
j MS. KELLY:
I move to strike Mr. Schink's answer.
BY MS. KELLY:
i
, Q Do you want to answer the question?
' A What is the question? !.
.
j
MS. KELLY:
Would you repeat the question.
!
i i
i BY THE WITNESS:
(Question read.)
1
A We recognized the Government's concern. We
acknowledged that there was the presence of poly
chlorinated biphenyls, certain higher chlorinated
biphenyls in the environment.
We initiated programs to look at our
sales of those products and to find those applications
where if it would appear there could be losses from
our customers' uses into the environment, and what we
. ea 1_.
__________________________________________Se^tiFied or 134 SoutP La Salle Street a \cooo, | llinois 60603
' 312 - 782-3332
WATER_PCB-00053600
\
Goss age direct
80
\I
! started identifying as closed systems and open systems,
j open systems being one that we felt we could not assure
( ourselves that we could limit or control exposure of
j
j PCBs in the environment.
i
! And we started taking action to stop j
' selling to those applications.
! BY MS. KELLY:
ii
]
| Q Based on the Government concern which was
! communicated to you?
j A Based upon our mutual concern that indeed the
i
| product was showing up in the environment.
(Gossage-OMC Deposition Exhibit i 1 No. 2 marked for identification,
! 7/29/81, TLU.)
i: BY MS. KELLY:
!
j Q Mr. Gossage, I place before you Gossage
I Deposition Exhibit No. 2. Will you review that, please,
j After reviewing Deposition Exhibit No. { 2, Mr. Gossage, isn't it true that Mr. Bradford, who
reported directly to you, circulated a memorandum in
forming a Mr. Garnsworthy that PCB fluids should not
be sold after the date it bears?
MR. SCHINK:
The document doesn't say anything.
That is not what the document says.
"fUa 1_. Urban
C^eriipied or
134 ^cuth |__o
Rep oHer
Streei
.--
(^h'tcaao. |l!inci? 60603
312 - 782-3332 WATER_PCB-00053601
Gos sage direct I
81
I The document speaks for itself. Mr.
I Bradford wrote it. It is one of a series of documents ! that you carefully culled out of a set and that is
! not what the document says, ma'am. I
I BY MS. KELLY:
'
, Q Mr. Gossage, Deposition Exhibit No. 2 states
, that, "I think" a "Telex of 1/28/72 to Giles/Witcombe
j answers your first question whether you can continue
i
| to sell certain PCB fluids. Cannot be done." i
Isn't that true?
i
MR. SCHINK:
If that is what the words say, we
i will stipulate to that. Now, what is the question?
: BY MS. KELLY:
i
: Q Is it your understanding or did you instruct
| Mr. Bradford that PCB fluids were not to be continued
, to be sold in January of 1972? I
t
; MR. SCHINK: Did he inform him at that time or i ! did he inform him that they could not be sold after that
i 1 time?
What is the question?
BY MS. KELLY:
Q Had you informed Mr. Bradford as of January
1972 that PCB-bearing fluids could not be continued to
be sold?
.______________________________________ ea L
______________________________________
Re-tlfied ortho nel Reporte
134 Rootle [__ Rolle Street
a \cooo, | llincif 60603
31? - 787-333?
WATER_PCB-00053602
Gossage direct I
82
|
MR. SCHINK:
After when? I object to the form of
i
j the question.
.
i
!
MS. KELLY:
As of that time.
| THE WITNESS:
i
| BY MS. KELLY:
State the question again.
Q As of January 1972, had you instructed Mr.
j Bradford that PCB-bearing fluids should not be sold to I
]
i customers?
I A Polychlorinated biphenyl Pydrauls, not the
t
I terphenyls, the biphenyls were not to be sold in the I | United States well before this date.
Q And as of this date you were aware, weren't
you, that the fluids which were marketed as PCT-bearing
fluids contained PCBs?
' Isn't that true?
; A As of what date? I iI Q January of 1972.
; A I was aware that PCT Pydrauls were contaminated
i
i with PCB.
j Q Isn't it a fact that Monsanto continued to
sell after it was learned that Pydraul fluids bearing
PCTs contained PCBs, Monsanto continued to sell its
! existing inventory of those fluids?
A That has nothing to do with this.
. } _________________________________ _____ _
'
eo L
(3eT'tified
Reporter
154 |_a Rtreet
a \caoo, | Hi^ois 60605
312 - 782-3332
----
WATER_PCB-00053603
Gos sage direct
83
j Q Answer my question,
j A Unrelated to this exhibit?
When we found out that PCT Pydrauls
'
were contaminated with PCBs, we moved as quickly as we
could to reformulate and withdraw those from the market-
j place.
j Q While continuing to sell existinginventory
J of those fluids to Monsanto customers?
I
J A While continuing to sell thoseproducts
both
| out of the production and inventory. i
i
i There was no Government regulation. i!
j
MR. SCHINK:
You just answered the question.
I
'
; BY MS. KELLY:
j
Q Looking at Deposition Exhibit No. 2, what i
! does the sentence that you cannot continue to sell j
i
j certain PCB fluids indicate? I
i
; A It would indicate to me that there was some
j inventory of the old formulations, the polychlorinated
biphenyl formulations, and Garnsworthy who was Marketing
] Director in Melbourne for our operations was asking
whether he could get rid of that inventory by selling
it, and if not, what was the proper disposal because
during that period of time, we were informing all of
our world areas that they could not sell nor dispose of
_________ __________ ,.(^eTtified ^hort^nd RflrortaT'
eo 1_. UrL>n
-----------------------------------------------------------------------------------
134 I_a <2<a-`e
(^kicacjo, Illinois 6C333
^19 - 7A9-3332 WATER_PCB-00053604
Gossage - direct
84
i those polychlorinated biphenyl formulations except by I 1
our approved procedures.
Q Was that a part of an agreement with the
United States Government?
i'
i
! A I don't recall the Government being involved
i
| ever in what we were doing outside the United States.
; Q Is that part of an agreement with the United
i States Government or the US EPA concerning sale of PCB |
! fluids in the United States?
;A
I
Q
I
i be sold.
Was what part of an understanding? The date of the last date in which PCBs could
A No. To my knowledge the Government was never
i
1 involved in any decisions we were making about the
, sale of products outside the United States. I
: Q The Government was involved concerning the
f
! sale of PCB-bearing fluids in the United States, isn't
| that correct?
I
!
MR. SCHINK:
Are you talking about the Pydrauls
I during this time period?
MS. KELLY:
The Pydrauls.
BY THE WITNESS:
A As a courtesy we informed the Government as
we developed our plans and implemented our plans for
eo L. IMtin
______________________________________ ______________________________________________ ____ ______________
Cert
orthond
134
Lo
Street
o \caoor Illinois 6C603
31? - 78?-333?
WATER_PCB-00053605
Gossage direct
i
i
85
I I removing polychlorinated biphenyls and reformulated
polychlorinated terphenyls and as the whole program
progressed, they were communicated with on a frequent
basis .
BY MS. KELLY: I
Q Did you inform the Government that Pydraul
A-20OB and the other PCT-bearing fluids contained
iii PCBs? A
I do not know.
Q Did the United States EPA or the U.S. Government eve r conduct any investigations concerning the
presence of PCBs in those Pydrauls bearing PCTs?
A I do not know.
Q Did you review call reports prepared by i
salesmen after visits to Monsanto customers?
A There was a period of time early after I took
over the job that I got copies of all salesmen's call
reports.
I cannot say that I reviewed them all,
but I received a copy of all of them.
Over a period of time as I became more
knowledgeable in my job, I withdrew more and more from
seeing individual call reports and left it up to the
individual regions and to Norm Johnson who was Field
~Pheei |_. Upton deriifie ortkjnJ Reporter ------
134 5uth |_a Ralle Street
a icaoo, Illinois 60603 31? - 767-333? WATER_PCB-00053606
Gossage direct
86
Sales Director at that time as to pertinent call reports
that he felt or Product Managers had felt had informa
tion in it that I should see. It was left to their
-
judgment to send it to me.
Q In 1970 in the Functional Fluids Group, who
was the salesman who was responsible for the Johnson
Motors account?
A Damiani.
Q Did you have any meetings with Mr. Damiani
about Johnson Motors?
A One-on-one individual meetings with him?
Q Individual or in a group.
A On Johnson Motors?
Q Yes .
A No.
Q Did you review any reports prepared by Mr.
Damiani concerning the Johnson Motors account?
A Call reports?
Q Reports of any other type?
A None that I can recall.
Q Did you review call reports?
A As I said, when I came on the job I received
copies of all reports for awhile. I did not read them
all, but I did see them.
I don't have any specific
eo L LJ T'k-'n
Certified 134 I_ 6C6T3
. 312 - 782-3332 WATER_PCB-00053607
Gossage - direct
87
j
j recollection of any call report from him on Johnson
! Motors,
Q You testified that you made actual visits to
the Johnson Motors facilities in Waukegan, Illinois on
two occasions.
A Yes .
Q Can you describe the purpose of your first
visit?
A The purpose of the first visit was to discuss
with them the conversion from chlorinated terphenyls
to the phosphate esters and the urgency which we placed
on that conversion.
Q Do you recall when that meeting was?
A The latter part of 1971, the very end of '71.
Q Who was at that meeting?
A From Monsanto?
Q From Monsanto.
A In addition to myself, Larry Bradford, Lou
Stark and the salesman, Weyland, first name Ican't
remember.
Q Was Mr. Damiani no longer on the Johnson
account at the time?
A I think he was no longer with Monsanto at
that time.
.
`nea L. U rbein
(Certified <E>^'or^clnd Reporter-----------------
134 0ojtk \_a Ralie Street
a icooo, Illinois 60603 312 - 782-3332
WATER_PCB-00053608
Gossage direct
88
I I i
i Q Was Mr. Weyland the person at Monsanto who
replaced Mr. Damiani?
A Yes.
Q Who from Outboard Marine was present at that
meeting?
j A I cannot recall the names. There were four, ii ! five or six people there including the man who ran i|
i their operation. Whether he was called Plant Manager
or General Manager, I can't recall; someone above him i
from what I will describe as Corporate, that was my
impression at that time, and several engineers, environI : mental people.
!
j Q How many?
i A As I say, I don't know, four to six.
i ; Q All employed by Johnson Motors? !j
I A That was my --
| Q To your knowledge?
A Yes. That was my impression at the time.
Q Was there anyone else from any other company
! or organization present at the meeting?
A No.
Q What was discussed at that meeting?
A We went there to discuss the conversion from
polychlorinated terphenyls to phosphate esters, their
__________________________________________________________
"Pliec |_. t_Jrbcan
(Certified ort^nd [Reporter
134 Sutli l_a
Street
a ic^go, Illinois 6C603
31? - 782-333?
-----
WATER_PCB-00053609
A
Gossage direct
89
! questions and concerns which they had expressed to us
i j about phenolics and in their effluent and the impact
j that the new phosphate esters would have on that;
|# j their concern about the comparative fire-resistance ii S of phosphate esters to the chlorinated terphenyls and
)'
their reluctance to make the conversion.
_
; Q From PCTs to phosphate esters?
j A From a more fire-resistant product to a less
i
' fire^^r^sir&tant product and a product that was to their
: understanding exposed their equipment to their existing I
' phenolic problem which as I recall was some involvement
between themselves and the State at that time about
; phenolics in the effluent.
Q Prior to the meeting in late 1971 at Johnson
Motors, had you made Johnson Motors aware of the fact
of Monsanto's intention to change Pydraul fluids from
PCT-bearing fluids to phosphate esters?
A Yes.
| Q How were they apprised of that fact?
I
j A It would have been the salesman's responsibi-
ii
I lity through Norm Johnson. My instructions were to
i
i -, . | Norm Johnson to inform the customers, both in writing ii
i and where necessary through meetings, of our plans and
i
J intentions to convert to the phosphate esters.
I I_______ Certified S*-. cril'jnJ [^erortev
L
----------------------------------------------------------------------------------------------------- ---
134 South |_o S^le Street
.
o icoao, | llinois 60603
.
312 - 762-3332 WATER_PCB-00053610
Gossage direct
90
Q Did you review any communications which were
issued to Johnson Motors in relation to the conversion
to phosphate esters?
*
A I reviewed all of the form letters that went
to all customers, including Johnson Motors, regarding
the changeover to phosphate esters .
Q I take it you did not review any memoranda or
communications to Johnson Motors specifically describing
the changeover to phosphate esters with regard to the
Johnson Motors account?
A I do not know that I reviewed any specific
correspondence to Johnson Motors.
Q Would Mr. Weyland have been the salesman who
would have been responsible for informing Johnson
Motors of the changeover?
A He would have been the salesman responsible
for that account and thus the one responsible for
informing them of our plan.
Q Did Mr. Weyland inform you that he communi
cated to Johnson Motors that the Monsanto Company
intended to change to phosphate ester Pydrauls?
A I cannot recall any direct discussions I had
with Weyland on the subject prior to the meeting.
Q Prior to the meeting, did Mr. Weyland or
ea (_
___________________________ --(^ertiPieJ
134 I_a S^T^eet a \coao. Illinois 60605 '
in WATER_PCB-00053611
Gossage direct
91
! anyone from Monsanto give you any kind of background i
information concerning the Johnson Motors account? I
i
!i A There were a number of at least references
!
-
made in monthly reports from the Marketing Group about
certain major accounts who were reluctant to make this ! conversion, Johnson Motors being one of them, spe-
| cifically. J Q Who prepared those monthly reports? { A Larry Bradford would have handled the market-
| ing report for that product. i
!Q i' I
j report?
Is that something different from the call
; A Yes. The call report usually is written l j after every salesman call on the account.
| A monthly report is a report, in this
j case from the Market Manager or Product Manager, to
! management summarizing what took place that month in
terms of customer problems, customer contacts, sales,
just reviewing his month's performance.
Q Did you review anything else besides the
monthly reports from Marketing in preparation for the
meeting at Johnson, your first meeting at Johnson Motors
in 1971?
A We met prior to going to Johnson Motors on
"]~hec> 1_. (Jrbetn
Re"tifiedS^ ortLnd Reporter -------
134 Routh La LLUe Street
a \coao, | llinois 60603
.
31? - 782-3332
WATER_PCB-00053612
Goss age direct
92
several occasions in St. Louis, but I can't tell you
j how many.
I
j
Q
Did you review any other documents besides
-
i
i the monthly reports from the Marketing Group in prepara-
i
I ! tion for the meeting at Johnson Motors?
;
MR. SCHINK:
And the letters that he talked about
i reviewing? | MS. KELLY:
The form letters to customers, the
j letters that he said were presented to Johnson Motors,
! yes.
!
: BY THE WITNESS:
i
A I would have reviewed the material presented
at that meeting.
| BY MS. KELLY: i | Q Was that material discussed at these prior
i
: meetings, the internal meetings that Monsanto had prior
j
j to going to Johnson?
j A We were discussing what we were going to say
I
j to Johnson Motors and how we were going to present our
ii strong feelings for the conversion of phosphate esters
and at the same time provide them with information on
helping solve our understanding of their phenolic problem.
I Q Who was present at these meetings prior to the
meeting at Johnson Motors?
.
.
ea L- Ui'bTM
Certified ort jnj Pe sorter -------------------
134 Soutn L Sa!!eStreet
<3 \coo}o, 11! mcis 60603
.
'
312 - 707-3332
WATER_PCB-00053613
Gos sage direct
93
! A It would have been those that were at the | meeting: Myself, Mr. Bradford, Lou Stark, Bill Richard
i who was not at the meeting but Stark reports to Bill
_
Richard, and I cannot say whether Norm Johnson was
there or not.
i Q How many occasions did you meet?
A I do not know. It could have been as few as
one or it could have been as many as two or three.
Q Who prepared the documents that you stated
i
| you discussed and which were to be presented to Johnson
j ; Motors?
! A Bradford and Stark would have prepared whatI
1 ever visual aids, either handouts or transparencies
I to be used at those customer meetings that were going *
i
i on. II ! Q What did Mr. Bradford tell you concerning the
I
Johnson Motors account at those meetings prior to the
meeting at Johnson Motors?
A I was involved in this meeting because of
his concern, of his ability or the ability of the
Marketing Department without some upper management
involvement in convincing Johnson Motors to convert
from the chlorinated terphenyls to the phosphate esters.
Q Did Mr. Bradford relate to you the basis
.
,_______________________ _______________________Certified
L.
for
^ '*'"
o icago, Illinois- 6: ' 25 512 - 782-5552 WATER_PCB-00053614
\
Gossage direct
94
his concern of not being able to convince Johnson
Motors to change over? I
A Their concern was bsed upon the phenolic
~
problem that they were having in their effluent system
j and the probability that this new formulation could
! make that problem worse and their concern about the I i comparative fire-resistance of the new product versus i
i the chlorinated terphenyl.
J Q You don't dispute that the fire-resistance
| qualities of hydraulic fluids is a legitimate concern i : to a purchaser and user of hydraulic fluids, do you?
; A It is a very real concern to many users of
! the product.
| Q And you would not dispute the fact, would you,
it
of a user of hydraulic fluids being concerned with any
i i
| potential pollution problems in the use and purchase of ii
j hydraulic fluids?
| A He should be concerned about pollution prob|> ' lems, be it any kind, be it in the phenolic or chlori-
i
! nated biphenyls or terphenyls.
Q What did you discuss at the meetings prior
to the meeting at Johnson Motors as to how to deal
with Johnson Motors' concerns?
A We discussed, we reviewed the data that we
Thea 1_. Urban
.______________________________________________________________________
134 Routk 1_o R.i'le 5treet
a icdigo, lllinck 6G603
'
7 in WAtIrIpcB-0005361 5
i Gossage direct
95
had accumulated in their behalf on their phenolic prob lem. We presented our data on the comparative properties of new formulations with the old formulations, including fire-resistance,and we discussed, I guess I would say how aggressive we would get with the customer in taking I a Monsanto position that we were going to withdraw this product from the marketplace and the reasons for that.
(At 12:30 o'clock p.m., a luncheon recess was taken to 12:50 o'clock p.m., this same date.)
iI
i
i i
Tbeo 1_. Urban
(^ertibeJ
Reporter --------
134 Routh (_a *2^1 le 2treet
a icdgo, Illinois 6C603
.
312 - 782-3332 WATER_PCB-00053616
N 96
IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS
EASTERN DIVISION
THE UNITED STATES OF AMERICA,
Plaintiff,
! vs . i i OUTBOARD MARINE CORPORATION | AND MONSANTO COMPANY,
Defendants.
) ) ) ) ) No. 78 C 1004
) ) ) ) )
July 29, 1981, 1:00 o'clock p.m.
The deposition of THOMAS LAYTON GOSSAGE
resumed at 200 East Randolph Drive, Room 5800, Chicago,
Illinois 60601, before Thea L. Urban. iiI PRESENT:
MR. SEBASTIAN T. PATTI,
MS. MARY KAY KELLY,
MS. JOANNA C. NEW,
j
! MR. JAMES H. SCHINK, iI i MR. JAY R. GENTRY ORTIZ.
5horttunel [T'ei-o-te'- -----134 L*
(^\y\caoo, | 11 inci? 6lC_3 WATER PCB-00053617
Gossage direct
97
i (Record read.)
j
THOMAS
LAYTON
GOSSAGE,
called as a witness herein, having been previously
-
duly sworn, was examined and testified further as
follows :
i
| l
| BY MS. KELLY:
DIRECT EXAMINATION
(Resumed)
i
| Q Mr. Gossage, what was the date at which you
i
j accumulated -- i
j A We took some, they gave us some samples of
.
their effluent and we ran some phenolic tests on those
j for them and this was merely a part of the meeting
{ that was responding to some earlier meetings or samples
that had been picked up as to what we had found in our
laboratory on those samples.
Q Who obtained these samples?
A I don't know who would have picked them up,
possibly Weyland, but Lou Stark was the person who was
responsible for the work on them and was reporting on
them.
Q What was Mr. Stark's position at that time?
A He was a Group Leader in Research under Bill
Richard .
Q Who actually obtained the samples from Johnson
ea [_ U^n
_______________________________________________________ _______________ 134 1--Ralle Street Cliicogo, |l!ino Is 60603 312 - 782-3332 WATER_PCB-00053618
Gossage direct
98
i Motors' premises?
i
i A I don' t know.
!
| Q Do you know if it was any person employed by ~
! Monsanto?
'
I
; A It would be unlikely that samples were taken
! by someone from Monsanto. They probably were picked up i
! by somebody from Monsanto and they could have been
j mailed to somebody at Monsanto. I din't know.
' Q Why do you say it is unlikely that the samples | ; would originally have been obtained from somebody at
: Monsanto?
A We would not typically go into someone's plant
and pull samples. We would do it, have it done by their
employees.
Q Prior to this time were you aware of any
time when Monsanto employees did do the actual sampling?
A I just wouldn't know that.
Q On whose instructions were these samples from
Johnson Motors' premises reviewed or analyzed?
A On whose instructions?
MR. SCHINK:
If you know.
BY THE WITNESS:
A I don't know .
BY MS. KELLY:
"Tl-ieci |_. (JrL?n
Certified
ortfond Reporter
-----------
134 ^outh [_a
5iret
a tcoqo, | 11 inci? 60603
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s
Gossage direct
99
' Q Did you learn that sampling was being con
ducted on Johnson Motors' premises after the analyses
on those samples were completed?
i.
A Would you say that again?
;
MR. SCHINK:
You want to know when, before or
; after the samples were collected?
BY MS. KELLY:
; Q When did you learn that samples from Johnson i I Motors' premises had been obtained?
! A At or before the meeting that I referred to,
, the meeting at Johnson Motors.
Q I take it you did not instruct those samples
ii to be taken?
.
A I had nothing to do with the samples that were
collected.
Q Where were those samples collected from? Ii!
A It would be out of their effluent system and
don't know if there were a number of collection points
I or if it was out of their ponds or whatever retention I
they had before I left the plant site.
I don't know the details of where the
samples were pulled from. They were described as
| samples out of their effluent system. That could have
been anywhere in the system.
~Theei |_. Ur'oan
(^er-ti^led *3^ ort^anel Reporter --------
134 I_a 5^' Street a icogo, | I !inoi? 60603 31? - 787-333? WATER_PCB-00053620
Gossage direct
100
Q Were the samples taken on more than one
occasion?
A That I don't know.
Q What did you discuss at your meetings prior
j to the meeting at Johnson Motors with regard to these !
i
j samples? i ! A The data that we collected, prepared, was iII | reviewed in our meetings prior to going to Johnson ! Motors and dealing with their phenolic issue that they
i i
| were concerned about. I i Q What did you discuss at those meetings con
cerning the data which Monsanto had prepared concerning i! ; that phenolic issue?
j
A I have no recollection of what we discussed i
; other than reviewing the data that was to be presented i | at the meeting.
| Q Did you make any decision at that time as to
| what recommendations to make to Johnson Motors concerning j the samples?
A Say that once more.
Q Did you at these meetings come to any conclu
sion about the recommendations which Monsanto could
make?
A Yes at the end of that, but then you carried
"]"he<a L- LJ'rban
________ ___________________________________ CertifieJ Short^icand [Reporter
134 Sootk |_<a
Streefc
O icago, | I linoic 60603
zn
WATER7, PCB-00053621
I Gossage direct
101
on .
; Q Concerning the phenolic issue? 1 ; A The samples were not really the issue. We
i
I were merely responding to a concern that they had
.
about a problem with their effluent. We were running
i
i some data for them to help them look at that problem.
i
That was not the purpose of the meeting. I j Q I am not even to the meeting at Johnson Motors.
i
j We are talking about the meetings at
j Monsanto with only Monsanto employees. i ; A Yes.
i | Q What was the conclusion reached concerning
! the sampling that was analyzed by Monsanto?
j A I don't know that it requires any conclusion.
i It was merely a reporting back to them of data that we
| j had collected on their samples having to do with their
! problem.
i
It was not the primary purpose of the
! i meetings that we were having. It was merely a part of
i
! i the meeting. It was a part of a communication that we
would have been having with them in their meeting.
i
Q What was the record pertaining to or what was
the data that you were to report concerning the samples
that you took?
.___________________________________ Tkea L. IM
__________________ ____________________________________________________ Certified orthand Reporter -------
134 5outk (_a ^olle St^et
(Chicago, | Ilinois 60603 312 - 782-3332 WATER_PCB-00053622
N
Gossage direct
102
A That data had to do with the phenolic content
of their effluent sample.
Q
Did you discuss at your meetings before the
_
meeting at Johnson Motors the causes for the phenol in
Johnson Motors effluent?
A If we did, I have no recollection of the sub
stance of that because that was not the purpose of my
involvement in those meetings, in preparation of the
meeting with Johnson Motors.
Q To this day do you know what is the cause
for a phenolic content in effluent from a user of
hydraulic fluids?
MR. SCHINK:
Do you understand the question: What
is a cause.
BY MS. KELLY;
Q What is this cause or causes?
A Are you asking what was the cause of the
phenolic in their effluent?
Q Yes.
A I have no idea. It could be from any number
of chemicals that they were using at that time.
(Gossage-OMC Deposition Exhibit
No. 3 marked for identification,
7/29/81, TLU.)
ea L. IUan
______________________ _________________ _____________________________(^ertifieJ S^ orthand Reporter _
154 South l_a
Street
Shicooo, Illinois 60605
51? - 782-555?
WATER_PCB-00053623
Gossage direct
103
BY MS. KELLY: Q Mr. Gossage, who would know, who would have
a recollection? MR. SCHINK:
Who would know what? Let us hear
I the question. IJ i BY MS. KELLY:
Q Who would know at Monsanto what was the cause i of the phenolic problem at Johnson Motors in 1971?
i A Who would have known at that time?
Q Or knows to this day. i
A I can't answer who would remember to this
date, but certainly --
Q Who knew it? i
A Lou Stark would have known it at that time.
Q I would like you to review Deposition Exhibit
No. 3 which is a memorandum dated November 24, 1971 to
Mr. Bradford from Mr. Stark. It is a three-page docu
ment .
i A Okay. ii ' Q Have you seen that document before? ! i j A I saw it yesterday.
j Q Prior to yesterday, do you recall reviewing
! this document?
jA
i
j
! Certified
I have no recollection.
.
L- U^n
' _--
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1_ _ a
e
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Gossage direct
104
J Q Do you know if this was a document issued in
| preparation for the meeting at Johnson Motors which
if you testified to?
-
-
A I do not know that it was. It certainly
j appears to be some reporting of data resulting from
j
! samples taken.
j
i Q After reviewing Page 1 of Deposition Exhibit
i No. 3, does that refresh your recollection as to what
! may have been the cause for the phenol'ic content in
| Johnson Motors?
i
i
| A There is nothing on Page 1 that would suggest
i what the cause is.
i.
; Q Reading from Deposition Exhibit No. 3, the
' sentence beginning:
i
! , "Those samples which are basic to nature...
!
! were antagonistic to fluids containing phosphate esters.
These caused increased decomposition of phosphate esters
i
to release free 1phenolies . ' "
A It refers to those samples and that's as far
as it goes on Page 1.
Q Referring to those samples, it is -
A I think in the first sentence -
MR. SCHINK:
Wait until she poses the question.
She asked does looking at this refresh your recollection
|.Certified SLrtLnd Reporter
~Ke<si |_. t_jrL?n -----------------------------------------------------------------------------------------------------------------
134 Sou th La Salle S^et o ica^o, | 11 inoic 60603 312 - 782-3332 WATER_PCB-00053625
Gossage direct
105
] as to the cause of the known phenolic problem of dis
charge, and you answered no and now there is another
series of questions.
BY MS. KELLY:
Q Does the document Exhibit 3 refresh your
i
I recollection as to the cause for the phenolics in the I samples?
A No.
Q Do you agree that these caused increased
decomposition of phosphate esters to release free
ii phenolics?
i A I have no technical basis for agreeing or
ii disagreeing.
Q Do you know whether phenolic content of
effluent is caused from decomposition of phosphate
esters?
i
MR. SCHINK:
Of whose effluent?
MS. KELLY:
Any.
THE WITNESS:
State the question again.
BY MS. KELLY:
Q Do you know if the decomposition of phosphate
esters can cause phenolics in effluent?
I
i
A Decomposition of what?
ii Q Phosphate esters.
L
|_. Urban ^e-tif'ed ort^incJ [Reporter
l54Sou*k L* SoWeSireet O icagc, | llinoi? 60603 312 - 782-3332
----
WATER_PCB-00053626
Gos sage direct
106
A Can decompose inphenolics?
Q The decomposition products of phosphate
esters can cause phenolics?
A In an effluent?
Q Yes .
A Yes, I am reasonably aware that that could
happen .
Q Did you or anyone at Monsanto provide Johnson
Motors with copies of Page 2 and 3 of Deposition Exhibit
No. 3?
MR. SCHINK:
This exhibit was produced by Johnson
Motors, was it not, in this litigation?
MS. KELLY:
I assume it was produced by Monsanto.
MR. SCHINK:
No, I do not believe that was the
case.
Do you know, Miss New?
MS. NEW:
I do not know.
BY MS. KELLY:
Q Do you know?
! A The cover memo would appear to be from
I J Monsanto.
Q But the two pages. Page 2 and 3 of that docu
ment, was that information issued to personnel at
j Johnson Motors?
I Tkea L. 1>U
|Certified 3^ or
Re porter
134 Soutk \_o S*He Street
a icca^o, | llincis CC603
WATERJPCB-00053627
Gossage direct
107
!i A I do not know. i j Q Do you know if any of the data which was
I' j accumulated regarding the sampling at Johnson Motors
in 1971 was provided to personnel at Johnson Motors?
| A In the meeting we presented the results from
i our tests, which that looks like it constitutes those l ! results.
Q Were copies of those results issued to per
sonnel at Johnson Motors?
A We used visual aids. I cannot say whether
we left copies of them or not.
MR. SCHINK:
I would state for the record that
what was marked as Exhibit 3, that is Pages 2, 3 and
4 of the document, was marked at the Atkin deposition
as Exhibit No. 7, was identified by counsel at that
time as a document emanating from the files of Outboard
Marine.
(Gossage-OMC Deposition Exhibit
No. 4 marked for identification,
7/29/81, TLU.)
j
MR. SCHINK:
With respect to what has been marked
i, as Deposition Exhibit No. 4, that is an incomplete
! copy of the document that was marked as Luplow Exhibit ! No. 10. I would object to the use of this exhibit
"Pheo 1_. Urban
___________
134 ^octk 1_a
Street
a !. \cooo, \ I incif 6C603
312 - 782-3332 WATER_PCB-00053628
Gossage direct
108
! unless it is marked in its entirety.
i
MS. KELLY:
Could we go off the record?
(Discussion off the record.)
-
MS. KELLY:
On the record, I would like to state
that many of the documents which were produced by
| Outboard Marine are duplicated in the production by
j Monsanto and substituting for what has been marked as
! Deposition Exhibit No. 3 is Luplow Exhibit No. 10.
]
MR. SCHINK:
If you want my copy of Luplow Depo-
it j sition Exhibit No. 10 to attach as an exhibit to Mr.
i Gossage's -
MS. KELLY:
That's okay, keep it as that.
i
, (Gossage-OMC Deposition Exhibit I` I'
No. 4 previously marked for
I identification was withdrawn.)
! MR. SCHINK:
i
; the exhibit?
j MS. KELLY:
Do you want the witness to review Yes.
j BY MS. KELLY:
i
Q Mr. Gossage, have you seen Luplow Deposition
Exhibit No. 10 before?
A Yes.
j Q When was that?
J A I saw it yesterday. It appears to be the
i
I Tk |_. Urban
|____________________________________________________ S^ortrsmd Reporter ------------------------------------------------------
154 Srut^ L0
Street
. O icogo, | Ifncts- 60605
512 - 782-5552 WATER_PCB-00053629
Gossage direct
109
information that was prepared in preparation for the
meeting with Johnson Motors.
Q Do you recall reviewing that document prior `
to yesterday?
A It is the type of material we reviewed in our
| meetings before going to Johnson Motors and the usual
j visuals that we used at Johnson Motors.
Q Do you know today whether that is the material
! that was presented to Johnson Motors?
A I cannot tell you exactly whether that
I j absolutely is the information that was presented.
i | is like the material we presented.
It
MR. SCHINK:
I will state for the record that
. Luplow Deposition Exhibit No. 10 is a document pre-
| sented in this litigation by Outboard Marine.
BY MS. KELLY:
i
Q Mr. Gossage, you testified that at your
t
iij i
meetings prior to the meeting at Johnson Motors in
i
ii 1971, you discussed how aggressive Monsanto should be.
i i
Can you elaborate?
A I think I said how aggressive we would be in i
communicating to them our decision to convert from the
chlorinated terphenyls to the phosphate esters, is what
I said.
ea L. UrU
C3ert|f,cd ^t'orth.and
"'ter
134
|__a e
a \cooo,
[no s 6C-?3
-7 7 T n
WATER PCB-00053630
Gossage direct
110
j Q What did you conclude? i ' A We concluded that we would tell them spe-
I cifically that the chlorinated terphenyls contained |
j limited amounts of PCBs; that as we had taken the
~
! position in our earlier withdrawal of the chlorinated
i
i
' biphenyls to the chlorinated terphenyls, that there
i
I was concern by the Government and by us of the chlori
,
nated biphenyls showing up in the environment and as
i
j a result of the product that they were now buying being
J contaminated or containing small quantities of chlori
nated biphenyls, that we had decided to withdraw those i
likewise from the market and that they would be replaced
with phosphate esters. i Q What did you tell Johnson Motors personnel l | at the meeting which you testified was in late 1971
I i concerning the changeover from Pydrauls containing
chlorinated terphenyls?
| A What did I tell them in that meeting? i ' Q You or any person on behalf of Monsanto.
|
i A We reviewed the entire list of the transaction
of polychlorinated biphenyls, the environmental problem,
the polychlorinated terphenyls, the need to keep poly-
j chlorinated biphenyls out of the environment; the need
j to even be concerned about any hydraulic fluid, even I
I ea L. IUcm
I____________________________________________________________ Certified S^ortkand Reporter -----
134 ^outk 1_o Salle Street
a \cooo, | ! I moi r 60603
in 7 AO ..A 7, AO WATER_PCB-00053631
Gossage direct
111
mineral oil getting into the effluent.
We specifically informed them that poly
chlorinated terphenyl contained a limited, small quanti
ties of chlorinated biphenyl and that their product
that they were using at that time contained polychlori
nated biphenyls in small quantities and that Monsanto
had decided to withdraw those formulations from the
marketplace and was replacing them with phosphate
esters.
Q At that time did you tell Johnson Motors
personnel what amount of polychlorinated biphenyls were
in the hydraulic fluids that they were using at that
time?
.
MR. SCHINK: By amounts, you mean the precise
| percentage or -
MS. KELLY: In any manner.
)
i MR. SCHINK:
He has already indicated there were
trace amounts present and that had been communicated
i further to Johnson.
j
i
Do you want him to elaborate further on
that?
BY MS. KELLY:
Q Did you tell Johnson Motors specifically what
the proportion was of the PCBs in the fluids that they
|_. Urban
_..___________________ ____________ (Certified ^horth^nd [Reporter . 154 I_a 5alie Street C2.\iicc>.jo, 1111ncI? 60605
' 512 - 782-3332 WATER_PCB-00053632
I Gossage direct
112
i! were using? A I do not know that we told them the specific
quantities. I don't know if in their fluid we could
i quantify that precisely, but certainly we discussed |
1 that there were trace quantities of parts per million II j of PCBs contained in their chlorinated terphenyls.
, I I! being there.
That really was the sole purpose of my
i Q Who called the meeting at Johnson Motors?
j A We did.
j ' Q What was the response after you informed them
i
; of Monsanto's decision to take the fluids which Johnson
i Motors was using off the market?
I j A It was my impression at that time that they .
i | clearly understood our message, had clearly understood
I j- this was a corporate decision being taken and they
j were going to consider their alternatives.
Q Was there any discussion atthat meeting con
cerning the phenolic content in Johnson Motors' effluent?
A We reviewed with them the results of data that
we had collected from the samples they had given us or
we had gotten from them.
Q Was any resolution reached concerning that
phenolic problem?
"Thea L.
___________________________________________________________
. 154 ^noutk 1_a
(^kiccso, Illinois C . t 5 *io _ WATER PCB-00053633
Gossage direct !
113
A I do not recall any resolution. I recall
there were some options given them of what kinds of
solutions might have been available to them about their
phenolic problem.
Q What were the kinds of solutions that you
suggested to Johnson Motors?
A I have no recollection of it other than, and
from what I can see in that document. I think there
are several references in there.
! Q Did anyone on behalf of Monsanto inform Johnson
i
j Motors that the phenolic problem which they were dealing
i
; with may have been caused by the phosphate ester content
; of hydraulic fluids being used?
; A At that time they were using polychlorinated
j terphenyls as their Pydraul formulation. They had not
j converted.
I Q Mr. Gossage, are you aware that the Pydraul
t | formulations which Johnson Motors was using in 1971
; contained phosphate esters in addition to polychlorinated
terphenyls?
A They did not contain phosphate esters. Let
me just stop there for a minute.
To my knowledge, they did not contain
| phosphate esters.
There may have been some Pydrauls
Tkea |_. l^Jrlacin
Se^tified
.
134 Soutk
Street
a iccgo, |llinoff 60603
aio _ 7A9_AAA0 WATER PCB-00053634
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114
where the polychlorinated terphenyls were formulated
with phosphate esters, but I am not aware of those.
Q Do you have any knowledge?
.
A Let me just finish.
There were some formulations that con
tained some other materials other than just the poly
chlorinated terphenyls. I do not know what Pydraul
A-200B was, whether it was a true terphenyl or whether
it contained some other material,
Q Do you know whether some Pydrauls containing
chlorinated terphenyls also contain phosphate esters?
A I do not know that it contained phosphate
esters. They contain some other degree, sometimes
mineral oils and hydrocarbons. I have no recollection
at that time that any phosphate esters were contained
in them or not.
Q Pydraul 50E is a hydraulic solution comprised
totally of phosphate esters, isn't that correct?
A That is my impression. It is totally phosphate
esters .
Q Was that the hydraulic fluid you were suggest
ing to Johnson Motors that they change over entirely to?
A I believe so.
Q What were Johnson Motors' questions to Monsanto
"Tketfi 1_. Urbcin
_______________________________________________________ _____________ Certified Chortr-.cmd fveporler
.
134 Couth [_o
Ctreet
o \caao, lliinoir 60603
312 - 782-3332 WATER_PCB-00053635
.-----
Gossage direct
115
personnel at the meeting in late 1971 concerning the
analysis which had been conducted by Monsanto?
A On their fluid?
'
Q That is correct.
Q I do not recall.
Q But you did, as you testified, present certain
data to Johnson Motors concerning the sampling analysis
which had been conducted by Monsanto?
MR. SCHINK:
The "you" there, you are referring
to the group as a whole, not Mr. Gossage?
I believe he testified earlier that was
someone else's responsibility, Mr. Stark.
MS. KELLY:
That's correct, the group as a whole.
THE WITNESS:
The question was?
MS. KELLY:
Would you read the question.
(Question read.)
BY THE WITNESS:
A That was presented at that meeting by some
Of the Monsanto people.
BY MS . KELLY:
Q What was discussed at that meeting concerning
the sampling analysis which had been conducted by Monsanto?
A I do not recall.
Q Did anyone at that meeting discuss the impact
_____________________________ ________________________________
eo L. 1>U
(Certified ortCnd Reporter---------
134 So Me Street
. o iccago, 111 inoi5 6C603
31? - 787-333? WATER PCB-00053636
Gossage direct
116
i
j which the changeover would have on the phenolic problem
| which Johnson Motors was experiencing?
A I can't recall any specifics on it.
Q Do you recall whether Johnson Motors per-
sonnel at that meeting were concerned about the
j phenolic content in their effluent?
A They were concerned before the meeting and
at the meeting about the phenolic problem they had in
the effluent and whether the switch to 50E or to the i j phosphate esters formulations would aggravate or make
! that condition worse.
i Q Did you or anyone in the group of Monsanto
i employees present at that meeting inform Johnson Motors
i.
' personnel whether the use of 50E would aggravate the
| phenolic problem?
j A Those reports that you have shown me as I I Exhibits 3 and 4 would indicate so, but I have no i j recollection. II j Q Who would have a recollection of that, who
j would know? i
A Lou Stark, the author of the memo that you
show as Exhibit No. 3, is speaking to the point in that
memo of the -- I guess I will use the word aggravation,
that the phosphate esters would have with their phenolic
Theci L Urban
_________________________________________ . (3e"tifieJ o"tncJ Reporter , 134 Routo j_a Ra!U Street a icc>go, Illinois 60603 WATER PCB-00053637
Gossage direct
117
problem as I interpret that memo that you have shown
me.
Q At the meeting in late --
A At Johnson Motors in 1971.
Q Was there any discussion as to the procedure
j by which Johnson Motors would convert to 50E?.
' A Not that I recall; only that we were taking
| the position that we were going to withdraw the product,
i The meeting concluded,as I said earlier, with their
I | saying they would like to take it under advisement !,
and consider their alternatives and they had alterna-
i
| tives.
j Q At the meeting in late 1971 at Johnson Motors, | did anyone on behalf of Johnson Motors question whether
j the 50E could be used in conjunction with the hydraulic |
i
j fluids which were already present in the die casting
i
| machines at Johnson Motors?
i A We were informed, the industry in general as ! ! they made the conversion from chlorinated terphenyls
j
to phosphate esters, they could top up if you will,
they could add the masses in on top of the polychlori
nated terphenyl formulation. They were compatible and
they could make the transition as they drained or topped
up their equipment.
_.___________________________________________________________ .
~Tbea j_. Urban
CTerti^eJ 5^ortk^nJ [reporter
134 1_a Street
a \cac\o, | llinoif 6C603 m mo mi WATER_PCB-00053638
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118
Q Did you offer at the meeting at Johnson
Motors in 1971 to take back Pydraul which contained
/* i
polychlorinated terphenyls on Johnson Motors premises?
A I can't recall specifically discussions at
that meeting on that subject. The industry had been
informed by Monsanto to some of the reclamation services
i that were available and other disposal, I can't recall,
I | for example, whether our incinerator was on at that
: time or coming on stream, but we eventually had an
j
! incinerator available for such disposal.
But I have no recollection at that
i meeting of discussing such disposal, if they would have !
! chosen to clean their systems. |
.
j Q I am not talking about fluid already being
I
J used in systems at Johnson Motors.
| Did you at the meeting in 1971 at Johnson i I ..
Motors offer to take back any unused quantities of
Pydraul containing PCTs?
A That which they might have an inventory?
Q That is correct.
A I have no independent recollection of that.
Q Are you aware at any time whether Monsanto
offered any of its customers the option of returning
any
unused
Pydraul
fluid
containing
.
PCTs?
""[~|-ieei |_. Urban
(Ze-tifieJ RhortkirJ Reporier -------------------
13-4 L*
O \coao, | llinoiff 60603
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A Monsanto, at least the part of Monsanto I
was in, that particular business group had a broad
policy that we would accept return unopened, unused
product at a 10 percent discount off the purchase
price.
I have no recollection of that policy
being restated at that meeting.
Q When was that policy delineated?
A It wasn't specific to PCBs . It was specific
to all of our products and as far as I know, that
general policy still is available to the customers.
Q Did anyone at Monsanto inform Monsanto cus
tomers that upon the changeover from PCTs to phosphate
esters, the customer had the option of returning unused
fluid?
A I do not know.
Q Do you know whether in fact any customers did
j return unused fluids?
A I do not know.
Q Monsanto did continue after the 1971 meeting
at Johnson Motors to sell to Johnson Motors Pydraul
fluids containing PCTs, isn't that correct?
A I would assume so, yes. The policy at that
time was to make all the conversions by June of that year.
L
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MR. SCHINK:
Excuse me, do you mean June of the
following year, 1972?
i
THE WITNESS:
Yes, 1972.
-
BY MS. KELLY:
Q Did you say that was June 30, 19 --
MR. SCHINK:
The end of June.
i BY MS. KELLY: Q How was the June 1972 date established?
A I cannot recall specifically. I would assume
i that seemed like the amount of time that would be
i necessary for us to communicate to the industry and
j
j ! get to the industry and give them the support they
ii
i
needed for those conversions.
i
It may also have had
i to do with how long it would take us to get Government
approval of our formulation with relation to the fire-
i resistance.
! You have to go through a series of tests j
i with the Government and getting some approval on the
degree of flame or fire-resistance that those products
have .
And, as I say, I don't know what the
balance of that all was, but it was a laid out program
of how long it would take for the entire industry to
make a conversion. ____________________________________________________ ______
Thea |_. Urban S^ortRrid Reporter ----
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| Q Was the ability of Monsanto to continue to j | sell its existing inventory of Pydraul containing PCTs I_ j a consideration concerning that June '72 date?
j A No. The inventories that we would typically i I carry of products at that time, and I can't speak
j specifically to how much inventory at that time, but
; typically it would be 15 to 45 days of inventory. It
would not be six months of inventory if it was suggested
we were waiting from December to June to use up all of i j our stock, to make the conversion.
!
i We carry now and then very little levels
i
; of inventory.
j Q Who at Monsanto would know, who would have
knowledge of the amount of inventory in hydraulic fluids
i in 1971?
| A I would doubt that anyone would today, have
! knowledge of that as to how much we had in that time i' I period. I think they could state for you how they I' i attempted to run the department vis-a-vis inventory,
J
but I don't know that anyone would be able to tell you
we carried X amount of days of solid inventory.
Q Where would records concerning inventory of
hydraulic fluids in 1971 be kept?
A I would doubt that we have any such records.
ea L- UrU
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122
Q Which department at Monsanto would have the
responsibility for determining inventory needed and
production control at Monsanto?
A Production Planning and Distribution had and
has the responsibility for our production schedule and
our level of inventory.
Q Who was the supervisor in that department in
i 1971? i
jA
Earl Potter was the individual responsible
for the production and planning and inventory control
of those products.
i Q He was the person with the highest level of !
| supervision in that department? i i, j A No, he would be the person whose full-time I
! job was managing those products for our business group. i
!
j Q Who was the Director of Production Planning
'i and Distribution in 1971?
!
A Howard Tippey.
Q Could you spell his name?
A T-i-p-p-e-y.
Q Is Mr. Tippey still with Monsanto?
A Yes, he is.
Q In St. Louis?
A Yes .
"{"heei L_. bJrL>n
pietJ Sh or
134 L Scl-e
a Icdgo, Illinois 6C603
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j Q How about Mr. Potter?
A He retires Friday.
Q Do you know if Mr. Potter will still be
.
located in St. Louis?
A Yes .
i Q Did you at any time suggest to any Monsanto
j j purchasers of Pydraul fluids that hydraulic machines
j be emptied and steam cleaned before converting to a
i
i new series of Pydraul?
I | A Did I? I1 j Q Or anyone to your knowledge from Monsanto?
A The policy at that time was that the customers
| using Pydraul chlorinated terphenyls could top up and
i j mix the new fluids with the old fluids. i | Q Did that policy change since 1971?
| A As in the Pydraul area? I
i
| Q Yes.
i
!
jl A Not to my knowledge.
' Q Was that policy the same for the changeover
i from Pydraul fluids containing PCBs to PCTs? !
A I believe so. Again, we were under no Govern
ment requirement that we withdraw the chlorinated
{ biphenyls.
We were doing it out of concern that
Tkea L-
an
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certain applications, if not carefully monitored by the
customer, could end up in the environment. And our
communications with the customer was to protect against
that and as further support to that we were converting
the customers away from the biphenyls to the terphenyls,
but that did not change their obligation to keep it out
of the environment.
Q On your visit to Johnson Motors in 1971, did
you have an opportunity to review Johnson Motors'
facilities?
A I did not. I cannot recall going through
their facilities at that time.
I did at a subsequent meeting.
Q When was the next meeting at Johnson Motors
that you attended?
A I attended a meeting -- no, I should say I
visited the account. I would guess in *74, it could
have been early *75, with Chuck Seger at a time when
Johnson Motors was adding capital to their facility and
was putting in new die casting machines and moving many
of their old die casting machines from their old opera
tion to their new facility, which I recall was built
adjacent to it. And it was at that meeting that I was
taken through their facility.
______________ Certified orthond Reporter
""Tiiea |_. Urbcin
134 La Sdle Street C^ucooo, 11 linoir 60503
MO _ 7MO-'z>7iA9 WATER_PCB-00053645
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Q Going back to the meeting in 1971 at Johnson
Motors, were you aware at that time of the disposal
of used Pydraul fluids at Johnson Motors' facilities?
A Was I aware of their disposal of used Pydraul?
I was aware that their mode of operation
was such that significant quantities of Pydrauls and
other fluids from their operations was going through
their system and into the environment.
Q How did you become aware of that?
A It was discussed in our meetings prior to my
going to Johnson and possibly earlier, but specifically
in those meetings.
Q Do you know where the quantities of used
Pydraul from the Johnson Motors facilities were going?
A Whatever riverway or waterway adjacent thereto.
My recollection is they have a collection system and
some series of a, I guess I would call them settling
ponds which as I recall were according to our technical
people undersized, the results of which was much waste
or much organic substance including our products were
going out of their plant site and into the waterway.
As I described earlier, this was generally,
these could be open systems rather than closed systems
with the fluids being completely contained and Johnson
Theo L U^n
_________________________________________________________ Citified 134 Roulk La Salle Street
` LLcczao, lllincf? 60603
WATER PCB-00053646
orth
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126
Motors was one that certainly I classified as a system
with fluid that v/as getting out of their plant site, .
fluid and other liquid wastes.
Q Are you aware of at any time prior to your
arrival at Johnson Motors where Monsanto restricted
the use or sale of its Pydraul to closed uses?
A We had taken a policy in 1970 or late 1969
that we defined certain systems including what you
described earlier as an adhesive application and
Pydraul applications as applications where Monsanto
could not assure ourselves or the Government that we
could contain those materials through our customers'
plants.
They would likely, unless customers
took extreme precautions, there could be leakage out
side of the plant site.
Q Prior to 1969?
A No.
Q Did Monsanto have a policy of restricting the
sale of Pydraul to closed uses?
MR. SCHINK:
I object to the form of the question.
That suggests that a closed/open distinction was that
as he described before this time. He has used that and
you have used it in your question to describe the state
"Ptiefl 1_. l_Jrban _________________________ Certified Rhortkcinel Reporter
124 Rcuth |_o Ralle 5^reet WATER PCB-00053647
Gossage direct
127
of the knowledge of what was in existence in '70.
I don't think there has been any testi
mony prior. MS. KELLY:
Mr. Gossage used the same description,
open and closed, today.
MR. SCHINK:
Right, in connection to what was
existing in 1970 and now you are examining him about
an earlier period of time. All I am saying is I don't
think there is a foundation in this gentleman's testi
mony that that distinction existed prior to 1970. It
may well have, but I don't think he described it.
MS. KELLY:
I don't think I need to establish
that.
BY MS. KELLY:
Q Did Monsanto restrict its sale of Pydraul to
closed uses prior to 1969?
MR. SCHINK:
I am again going to object to the
form of the question. It assumes there was such a
thing as open or closed usage prior to that time.
BY MS. KELLY:
Q You may answer.
A The definition of closed versus open did not
come about until 1970 when we started addressing our
selves to the concern about PCBs being present in the
____________________________________________________________ ________
eo L. U rban
Certified 5hortheind Re porior
154 Rout^i
S^lle Street
o \coqo. | 11 inoi? 60605
-----
WATER_PCB-00053648
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128
environment. It is my understanding from reviewing
the earlier records when I came on the job that we were not aware of PCBs being an environmental problem until 1969.
Q Then I take it Monsanto did not restrict the sale of Pydraul to closed uses before 1969?
A We did not restrict sale of Pydrauls prior to 1970, to my knowledge, but I was not on the job at that time.
Q Are you aware of the amount on a month-tomonth basis of Pydraul which Johnson Motors was pur chasing from Monsanto in 1970?
A I could not cite a number. I think I said earlier that they certainly were one of our top four or five customers.
Q Do you have any knowledge concerning the rupture of lines and spillages, leaks which occur in die casting plants where hydraulic operations are ongoing?
A Am I aware of or do I have knowledge of them, no .
Q At any time after your arrival in the Func tional Fluids Department at Monsanto, did you have
~[[\ea |_. LJr'bari
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129
occasion to review documents pertaining to the use of
Pydraul in hydraulic systems?
A Review documents on the use of Pydrauls in -
hydraulic systems, yes.
Q Did you review any documents prepared by
Monsanto concerning the disposal of used fluids, used
Pydraul fluids after use in hydraulic systems?
A At some point in time we made available a
service to the industry to incinerate used Pydrauls and
other uses of polychlorinated biphenyl.
Q When was that?
A I would guess some -
MR. SCHINK:
Just give her the best approximation
I you can. I
j BY THE WITNESS:
{ A (Continuing.)
'72.
BY MS. KELLY:
Q After 1971 --
A I can't recall when that incinerator came on,
but it was certainly after we had converted the industry
to terphenyls, but I can't speak whether it was the
end of '72 or early '73. I just don't remember when
that unit was brought on.
Q Did you after your arrival at Monsanto review
~]~heei |__. l_JrL>n
CertifieJ ^}hortLn<J Lrcr*r
134
L<*
reet
-------
a ictfgo, 111 i no I 5 6C6I3
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Gossage
direct
130
any documents prepared by Monsanto concerning the
collection of Pydraul after use in hydraulic systems?
|
MR. SCHINK:
You are talking about in his job as
I
a Sales Director or back in 1969 when he joined the
company ?
j MS. KELLY:
I
j Group .
I
Ij BY MS. KELLY:
When he joined the Functional Fluids
Q I believe you testified that you reviewed
documents concerning the history of the department and
various fluids.
MR. SCHINK:
I'm just trying to get clear the
time. Your question was anytime after he arrived at Monsanto?
MS. KELLY:
In the Functional Fluids Department.
MR. SCHINK:
Maybe you could restate the question.
BY MS. KELLY:
Q At any time after your arrival in the Func
tional Fluids Department, did you have occasion to
review documents concerning the proposal by which a
user of hydraulic fluids would dispose of fluids after
use? A
From 1970 and on including the transition to
polychlorinated terphenyls, there was a considerable
-------------------------------------------------------------------------------------------------------------------------------------------
T^eca L l_JT'^c,n
Certif16JSk orthand Reporter --------
134 South l_<a Soils Street
o iccigo, 111 inot9 60603 WATER_PCB-00053651
Gossage direct
131
amount of emphasis put on within the Marketing Depart ment and with us to contain those products and not let them get into the environment. There would have been endless numbers of meetings between our salesmen and .the customers to that point. There would have been a number of documents available to the salesmen for that purpose as to how you handle the effluent system and with strong emphasis on not letting it get into the environment.
There were documents, yes, I reviewed them. I cannot cite to you what those documents were, other than the policy was the salesmen were given a number of tools to allow them to emphasize to the customer the importance of containing those products.
Q Are you aware of any program developed by Monsanto by which a customer would contain its hydraulic products before 1970?
A No, I am not aware of it because I wasn't there before that time.
Q Did you have occasion to review any documents that would indicate there was such a program?
A I may have. I certainly, there were companies available at or before or about that time who offered the services of reclaiming Pydrauls and returning them
ea L. UrU
______________ ___________________________________ _______________ (3ert'f'eJ ortRnd Reporte ' 134 Soutk L* S*l!e Street O icogo, Illinois 60603 "' " WATER' PCB-00053652
Gossage direct
132
to the customer. Q That was not a Monsanto company?
A No, it was not a Monsanto company.
-
Q After 1970 what were the various ways which
Monsanto suggested to a Pydraul user of disposing of
used Pydraul?
A When the incinerator was available, he had
that as an option to himself. He had the option of
reclaiming through a number of reclaimers that were
available at that time.
We made available to the customers informa
tion of using what I would call kitty litter, a sub
stance to absorb spills of Pydrauls at the customer
plant sites.
We recommended things like retainer
walls, separate systems for collecting spills rather
than through the plant effluent system. We provided
technology on settling tanks. There was certainly the
suggestion that if they used settling tanks they could
package the material in drums and if no other source
were available, they could bury it in approved landfills.
This was a major part of Bill Papageorge's
job, to provide customers and our salesmen with that
kind of information.
""[~he<5i |_. (Jrtxpn
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\
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Q Did you have any contacts with Johnson Motors
concerning the disposal of Pydraul fluids used at
Johnson Motors?
`
A I did not personally other than that meeting
that we had and I have no recollection of discussions
of a disposal of polychlorinated terphenyls or PCBs
contaminated in those products at that meeting.
It was the responsibility of the salesman
to discuss that with all of our customers.
Q In 1971 was Mr. Weyland the salesman for the
Johnson Motors account? I
| MR. SCHINK: l
i
; BY THE WITNESS:
When in '71?
A He was.
MR. SCHINK:
Are you talking about during the
entire year?
BY THE WITNESS:
A He was during the meeting I was at. He had been named salesman of the account. I cannot tell, if
you will, the transition when he and his predecessor
who we talked about earlier --
BY MS. KELLY:
Q Damiani?
A Yes, Damiani.
___________________________________________________________________ __________
"]~bea 1_. Urban
Certified
ortkand Reporter ---------
154 SOUtk La Salle Streel (^kiccgo, 111 iroi9 60605 512 - 782-5552 WATER_PCB-00053654
\
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Q Who is this next salesman after Mr. Weyland?
A Chuck Seger. The next meeting, whether there
was another individual between Weyland and Seger, I
-
can't recall.
Q Do you know for what reason Mr. Damiani left
Monsanto Company?
A He left to join a company that was in the
fluids reclamation business.
Q Which company is that?
A I do not recall the name of it.
Q Do you know if Mr. Damiani was fired from
Monsanto?
A I don't think so. I am almost sure he left
because he had another business opportunity.
Q Was there any training of salesmen with regard
to disposal alternatives for customers using Pydraul
fluids ?
MR. SCHINK:
He already talked about the various
methods and already talked about Papageorge's role
and what Mr. Papageorge did assisting the salesman. Do you want to go over this again?
BY MS. KELLY:
Q What was the training program, if any?
All new salesmen joining Monsanto, new meaning
ea L
an
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134 5treet
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first employment at Monsanto, all salesmen in Monsanto
are given broad sales training. There are formal
courses for that purpose in Monsanto. There was, there
are new, beyond what they were given, individual product
{
II training on the products they would be selling and in
j
I i
j this case Pydrauls and other fluids.
i ! ; That training would have been done by I j the Research people, by the Product people in St. Louis
| and by Papageorge as it relates to the environmental
| concern at that time on those products.
i All three of those groups at least would
i
I have been involved in that training and that training
Ji could have taken anywhere from two weeks to a month if
! the time were available to give them that much training. I, j They would then be brought in from time to time in
I national sales meetings or in regional meetings where
there would be updating of the training which would
i
! include environmental concerns.
j
! Q Was there any specific program as with regard I
to disposal of Pydraul fluids?
A I am sure there was, but I cannot, that would
have been the responsibility of people under me. I
cannot specifically say what that was.
Q Are you aware of what disposal methods were
Tbea |_. Urban
Certified Chorthand ("Reporter --134 Cuth 1_a CaHe Ctreet Chicago, 111 inoic 30303 312 - 782-3332 WATER_PCB-00053656
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136
suggested to Johnson Motors for use in this Waukegan
facility?
A No, I am not. Q What alternative was first proposed to
-
customers using Pydraul fluids, reclamation or incinera
tion?
A Reclamation because it was available before
incineration was and beyond reclamation, it was the
containment of the spills and the separation of those
spills from the total plant effluent system and I guess
logically one should say and the prevention of leakage
and spills where possible.
Q Was reclamation used as a method to address
the problem of used Pydraul fluids at Johnson Motors?
A I do not know. Certainly the Monsanto sales
men were aware of reclamation services available in the
industry. I know some customers used reclamation of
their Pydrauls on a regular basis. I cannot tell you
to what extent Johnson Motors either used reclamation
or pursued that alternative. Q Did Monsanto ever get involved in establishing
a reclamation service to offer to customers?
A It was considered a number of times.
Q Did Monsanto ever establish a reclamation
"T"hea L- UrUn
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137
center?
A No . Q Why? A Well, I am going to have to give you my
.
personal opinion to the extent that I was involved in
those considerations and they were considered a number
of times while I was in the job.
My position was always that there were
a number of such reclamation services available, that
they tended to be small companies, localized areas
reasonably close to major markets and that Monsanto would not be very effective in competing in that market
place.
(Brief recess had.)
(Record read.)
BY MS. KELLY: Q Mr. Gossage, are you familiar with Findett
Company?
A Findett. ' Q When did you first become aware of their
services ? A Shortly after I took the job, but I can't give
you a specific time.
MR. SCHINK:
You are talking about the job as
"Tlieci |__. TJ^Lan
Certified Skcrtkond [Reporter
134 Sutk |_*
Street
a Iccjgo, | llinoi? 60603
312 - 782-3332
WATER_PCB-00053658
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138
Sales Director in '70?
THE WITNESS:
Yes.
BY MS. KELLY: Q What was the service which they offered?
-
A They provided service for Pydrauls and certain
other fluids that were reclaimable.
Q What type of services?
A They would take used or contaminated Pydrauls,
for example, and they would reclaim the material, as I
recall, buying make-up from us and returning to the
' customer a fluid reusable in their equipment.
Q Where was Findett located?
A
I think it is close to St. Louis.
It may
have been a suburb of St. Louis.
I have not been there, but our people
would go there to observe some testing or observe some
work they were doing, so it must have been close to
St. Louis .
Q Is Findett a subsidiary of Monsanto?
A No, it was not.
Q Was there any connection at all between the
owners of Findett and Monsanto employees?
A There was certainly a relationship between
the two in that we were aware of their services, we
. .
Thea |__. l^J-pbdn
CertifieJ 5^ ortCnd [Reporter 154 <3'-tk 1_a SCHe Street a icago, 11 linoiy 60605 51? - 782-555? WATER_PCB-00053659
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139
recommended their services. We had them do some work
for us and I think they did some testing.
I believe that our fire test might well '
have been done on their facilities, so there was
certainly a customer relationship or service relation
ship that we had with them as well as recommending
them to others.
Q Do you know what Monsanto itself did with
used or contaminated Pydraul fluids prior to 1970?
A No.
Q Do you know prior to 1970 whether Monsanto
used Findett for its own purposes?
A I would not have knowledge of that.
Q Are you familiar with EnviroChem?
A Yes .
Q What are the nature of services provided by
EnviroChem?
A Today?
Q In 1970.
A I was not familiar with them in 1970 except
that I knew they were in the business of selling sulfuric
acid plants, selling catalysts for sulfuric acid plants.
They did work in the area of developing
systems for disposing of solid waste and that is the
Tkea
_____.(Certified
e rer 134 1_a Street
(^hic^go, Illinois- 6C6C3
312 - 782-3332 WATER PCB-00053660
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extent of my knowledge at that time.
Q When did you become familiar with EnviroChem?
A More than that? More than that knowledge? ~
Q At that time, when was that, 19 --- approxi
mately?
A 1970.
Q Did EnviroChem services extend to reclamation
of Pydraul fluids?
A Not to my knowledge .
Q Did you suggest to purchasers of Pydraul
fluids that they use EnviroChem services?
A I did not.
Q Did anyone on behalf of Monsanto?
A Not to my knowledge.
Q Reclamation of Pydraul fluids at any time
would have a negative impact on sales of Pydraul by
Monsanto, isn't that correct?
A Reclamation -- say that again.
Q Reclamation of Pydraul fluids for reuse at
any time would have a negative impact on the sale of Pydraul .
MR. SCHINK:
You mean vis-a-vis its competitors?
MS. KELLY:
By Monsanto.
BY THE WITNESS:
1__. Urban
Certified ^korthcand ["Reporter --------------------
134 La Street o \caoo, | llinoif 60603 31? - 787-333? WATER PCB-00053661
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A I have to say not necessarily. It would
depend on how that service were made available. I
could describe a method in which it would enhance our
position .
It is possible that it would have a
negative impact depending on how it was used.
BY MS. KELLY:
Q If a purchaser or if a user of a reclamation
service was able to reuse its Pydraul, it follows, does
it not, that the purchaser would not have to add to its
supply as often as it would have without the reclamation
service?
A Yes, under that kind of a situation, that is
correct.
(Gossage-OMC Deposition Exhibits
Nos. 4 through 8, inclusive,
marked for identification,
7/29/81, TLU.)
BY MS. KELLY:
Q If you will look at Gossage Deposition Exhibit
No. 4 for identification, have you seen that document
before?
It is a document dated January 19, 1972
to Mr. Gossage from C. L. Bradford. .
T^ec L- UT'^ciri
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A Yes. Q When did you review that document? A I would have received it on the date that is -
indicated there.
Q Have you reviewed that document recently?
A Yes, yesterday. Q The proposal at the end of Paragraph 2 at the end of Deposition Exhibit No. 4 is that Monsanto would
raise its price for incineration to Pydraul customers who chose not to purchase additional Pydraul fluids or
to force Monsanto to bid for the business, is that not -
A This is the second paragraph?
MR. SCHINK:
You are talking about the language
that is crossed out?
THE WITNESS:
The document I have, it is crossed
out. MS. KELLY:
I don't know if it is crossed out.
THE WITNESS:
One way to reduce?
BY MS. KELLY:
Q Exactly,
A Your question is?
MS. KELLY:
Would you read the question.
(Question read.)
BY THE WITNESS:
_______________________________________________________________________
""["heci [_. LW*"
Certified Choethond Ce:: r-ler 134 Couth 1_a C<d'e CtT-*e-
Chicago, Illinois 6C33
-------
312 - 787-3332 WATER_PCB-00053663
N
Gossage - direct
143
A Yes, that is the recommendation Mr. Bradford
is making to me.
BY MS. KELLY: Q Do you know if in incineration prices were
-
raised after January 19, 1972? A They were raised a number of times after that.
Q Referring to that handwriting at the bottom of Deposition Exhibit No. 4, do you recognize that hand
writing?
A It is mine .
Q Can you tell me -
A As is the marking out of that sentence there. Q Can you tell me who in Washington you told
that Monsanto would make incineration available at cost? A No, I refer to the environmental community in
Washington and I am referring there to a meeting that
Papageorge and others had had and that informed them of
their availability. They were not direct discussions
I had. Q
Do you know the names of any persons that
Papageorge met with in Washington?
A No, I do no t. Q When were these meetings in Washington that you
do know?
|__, Urban
_________ __________________________________________ Certified *3^'ortkand ["Reporter ------------------------------
134 Coutf> \--a
Ctreet
Chicago, Illinois 60603
31? - 787-333? WATER PCB-00053664
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A I can't give you the dates of the meetings.
It would have been after we decided to build the
incinerator and before June 19, 1972, but specifically _
when they were, I cannot comment on it.
Q Can you read the last sentence, the handwritten
notice on Exhibit No. 4?
A I can read down to a price increase here could
come back to haunt us, something, something is a lot
in favor of something to all people.
No, I cannot make anything, help you on
! that. i
Q
Do you know what you are referring to there?
A No. The nature of the response is that I take
exception to Mr. Bradford's recommendation that you
referred to that our position had been earlier that we
would make that service available at cost to the
industry and that we had told both the industry and
told the Government that, and I thought to move away
from that would be improper.
Q After January 19, 1972, did Monsanto make
incineration available at cost to all of its customers?
A All of its Pydraul customers or all of its
customers ?
Q Pydraul customers.
"["heel |_. (_Jrban
C^er^ified Shorthand [Reporter -----134 'South |_a SolL Street
a icogo, Illinois 60603 312 - 782-3332 WATER_PCB-00053665
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j A The policy, as I recall, was the service was
i
j available to anyone who had PCB-containing materials
that wanted to dispose of them, including Pydraul.
Q And they could dispose of it at cost to the
cus tomer?
A That was the intent when the policy was put
in place. When we started having experience with that
incinerator, it had a significant number of problems
and we were constantly chasing the costs, meaning the
costs were going up and we were having difficulty
containing the cost or a number that we could commu
nicate to our customers, so there was a constant series
of increases because we could not control the cost.
The bricks, for example, constantly fell out of that
and we had to go back and replace the brick so we could
keep disposing in the incinerator.
Q Where was that located?
A At our W. G. Krummrich Plant in St. Louis.
Q Was that the only incinerator that was avail
able to Monsanto purchasers of Pydraul?
MR. SCHINK:
You are talking about by Monsanto?
MS. KELLY:
Yes.
BY THE WITNESS:
A It was the only incinerator that Monsanto had.
"|"keci |_. Urban
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BY MS. KELLY:
Q I would like to show you Deposition Exhibit
No. 6 for identification which is a memorandum dated *
February 14, 1972, a two-page memorandum to T. L.
Gossage from H. S. Bergen.
A Okay.
Q Have you reviewed this document before?
A Well, I saw this yesterday. Obviously I saw
it when it was sent to me.
Q You received it on or about the date it bears
in the regular course of business?
A Yes .
Q After reviewing thisfirst pageof Deposition
Exhibit No. 6, does this refresh your recollection as
to whether Monsanto offered Pydraul incineration to its
customers on a cost basis?
A I still say that was our intent, to charge on
a cost basis. Now, what Mr. Bergen -- this, by the way,
is my memo on the back, my comments on the back.
Q Referring to Page 2?
A
Yes, what wouldappear
tohavebeen sent
to
him and his response is to my note and other conversa
tions we had. The five cents a pound for Pydraul
incineration takes into consideration that not only would
~The<a L LJi'ban
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Gos sage direct
147
we be receiving back our product from the customer., but
once we had converted them to phosphate esters, we
were subject to receiving back our competitors' product's
as well.
There was no way we could split the
phosphate esters coming back to us from our source and
a competitor's source, so the five cents a pound is,
as I interpret that, he is saying here, this was not
the original intent of incineration. The intent of
incineration was to burn PCBs, not PCTs and phosphate
esters, particulary phosphate esters that were also
our competitors' phosphate esters as well as ours.
Q Pydraul has only been manufactured by Monsanto?
A The trade name is Monsanto.
Q And Mr. Bergen states in Deposition Exhibit
No. 6 that in the case of Pydraul we had no intention
of burning them, and if we should do so, we should make
money on them.
Mr. Bergen is not stating that Monsanto
intends to make a profit on the incineration of Pydrauls?
MR. SCHINK:
I think he says a slight profit.
MS. KELLY:
Profit nonetheless.
BY THE WITNESS:
If you read it, it says
Tbeo L. U rb<an
Certified OT'thond [Reporter
134 South L<*
Street
icago, Illinois 60<303
--------
" WATER" PCB-00053668
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148
. "The reason for the increased price on
Pydrauls is that the incinerator was designed and costs
established based on 100 percent PCBs and for that
~
specific purpose in mind."
In February of 1972, Pydrauls were polychlorinated terphenyls, with a very minor amount
of PCBs,and we were in the process of convering the
industries to phosphate esters. The incinerator was
not intended for either of those two purposes and the
process for costing of those were all scoped around PCBs. We had no idea what the costs were going
to be between PCB, PCT and phosphate esters, but we
were going to find ourselves, as soon as phosphate
esters were in the marketplace, not only burning our
product but our competitor's product. The five cents
was intended to cover all those uncertainties, number l
one, of not knowing the cost to incinerate PCTs, poly chlorinated terphenyls, and two, having to burn things
other than our own product.
BY MS. KELLY: Q Mr. Bergen's memorandum states that in the
case of Pydrauls and Monsanto, only a Monsanto product.
MR. SCHINK:
But it doesn't say PCBs and that is
why I object to this arguing with the witness. The
|__. Urban .__________________________________________________
134 5outK \_a 5>lle Street a icaqo, | 11 mot? 60603
" WATER' PCB-00053669
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witness explained the difference between PCBs which
were to be burned at cost and Pydrauls which included
in addition to PCBs, I think he explained.
THE WITNESS
If you will look at my letter -
MS. KELLY:
There is no question pending, please.
THE WITNESS:
I have to refer to my letter because -
MR. SCHINK:
She is going to pose a question.
MS. KELLY:
Excuse me, there is no question
pending.
BY MS. KELLY:
Q Mr. Bergen's memorandum dated February 14,
1972 indicates that in his opinion in the case of
Pydrauls, Monsanto should make money in the incineration
process, does it not, looking only at the document
before you?
A Well, I can't only look at the document.
Q I am asking you does that statement say that?
MR. SCHINK:
Whatever the document states, it
states. This witness, if you have a question to put
to this witness, you may.
The document, that sentence, you can read
it. It is here in the exhibit.
THE WITNESS:
If you are asking for my opinion -
BY MS. KELLY:
________________________________________________________________________
Theei |_.
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Q No, I am not asking you for your opinion.
I am asking you a question. My question
is I am asking you does the document state that?
MR. SCHINK:
The documents tates what it states.
Get on with this.
MS. KELLY:
The witness can answer the question.
MR. SCHINK:
The document speaks for itself.
i,
MS. KELLY:
I don't need your testimony, Mr.
j Schink. j
I am asking him a question.
i
him not to answer -
If you instruct
MR. SCHINK:
I am not instructing him not to answer
!
I ! the question.
I am suggesting, however, that the docu-
I
j ment states what it states and merely to get the witness
to affirm that it says that serves no useful purpose
here.
There is no question pending now.
MS. KELLY:
Please read back the last question.
(Question read.)
BY THE WITNESS: A It states that the increased price from three
cents to five cents is because the incinerator was not
designed and the cost established based on 100 percent
PCBs. The phrase not 100 percent PCBs -
BY MS. KELLY:
Thed j_. Urban
________________________________________________________ C 134 Sctk L* SflUe Street Sktcaoo, | llinos" 60603 WATER PCB-00053671
Q Pydraul was Monsanto's product, is that correct?
A The material returned to us by customers was called Pydraul. It was many times mineral oil, solid
wastes, garbage. It was frequently not Pydraul. What he is referring to here is Pydraul
generally as the material that is returned to us by
customers.
Q Pydraul is manufactured by Monsanto under that
trade name, is that correct?
MR. SCHINK:
Are you talking about as Mr. Bergen
is using the word?
MS. KELLY:
He can answer; I don't need your
testimony . MR. SCHINK:
I am not going to give you testimony,
but I am not going to let you ask improper leading
questions to the witness.
MS. KELLY:
That is a straightforward question.
MR. SCHINK:
If you are asking what he understands
Pydraul to mean in Mr. Bergen's' memo, ask him that.
MS. KELLY:
That is not what I am asking.
MR. SCHINK:
You are not asking that?
BY MS. KELLY:
Q The trade name Pydraul is a trade name for
ea L- U^n
Certified 5^ ortCnd f<erorte' ---------------134 C0,-4fi (_o CoHe Ctreet
a \cooo, Illinois 60603 WATER PCB-00053672
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152
Monsanto's product, is it not?
A Well, technically it is a trade name for
Monsanto when it is indicated with a small "r" and a
'
circle around it with the word Pydraul; frequently
used generally as a hydraulic fluid, industrial hy
draulic fluid.
Q Frequently used to describe a series of
hydraulic fluids manufactured by Monsanto, correct?
A It is frequently used as a name of a hydraulic
fluid, not necessarily manufactured by --
Q But answer the question. It is also used to
describe products manufactured by Monsanto in hydraulic
systems ?
A Yes, it is. Q After February o f 1972, were Pydrauls incinerated
by Monsanto at a price of five cents per pound?
A Yes .
Q Do you know if a Pydraul customer had to pay
freight for the return of contaminated Pydr aul to
Monsantofor incineration?
A I believe so. I believe tha t the price was --
I don't know if any of the se documents say. but I believe
the price was the charge t o them based upon our receipt
of the material.
In other words, they paid the delivery.
""["kea 1_. Urban
Certified Skorthjnd ("verr-te'' -------
134 South l_o
St"*et
Chicago, Illinois 6C633
319 - 7R9-333? WATER PCB-00053673
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153
Q And to your knowledge, what was the rebate
system in the incineration procedure offered by Monsanto?
A I can only recall what is in front of me here-*
Do you want me to describe what those words mean to me?
Q Yes .
A That indicates that we received used material
for incineration from customers, charged them three
cents per gallon, or I guess subsequently, five cents
per gallon -
MR. SCIIINK: You mean per pound.
BY THE WITNESS:
A
(Continuing.)
Per pound, excuse me, and then
reduced the price of the phosphate ester Pydraul formu lations by a corresponding amount to give them incentive,
if you will, to buy from us rather than our competitor.
MR. PATTI:
I'm sorry, I missed that. Could you
read that back?
(Answer read.)
BY THE WITNESS: A (Continuing.)
The bottom line of this is we
didn't charge them for incineration.
BY MS. KELLY:
Q To your knowledge, were Monsanto customers who
used the Monsanto incinerator charged for incineration
_____ Citified
ortLnd Reporter
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------------------------------------------------------------------------------------------------------------------------------------------------------
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o icogo, | llinoi? 60603
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of the portion of Pydraul fluids that were not PCBs?
A I can't really answer that. I don't know
how that was done.
In my memo on the second page, I
recommended a procedure for handling that, but I do
not know the outcome of that. I don't know how that
was done.
I don't think there is any reference to
it in Howard's memo, so I cannot answer.
Q Was it your recommendation though that Monsanto
customers who used the Monsanto incinerator for Pydraul
would only get a rebate for the portion of Pydraul re
turned which represented PCBs? Isn't that true?
A PCB or PCT where indicated.
Q Or PCTs, referring again to Page 1 of that
document, Exhibit No. 6.
I I am looking at the last paragraph, last
sentence of Page 1.
Did Monsanto determine the rebate on a
case by case basis as suggested there?
A I do not know whether we had a common policy
or whether we varied that. I cannot tell you how we
handled that parameter. That was set by Mr. Bergen.
Q Will you look at Deposition Exhibit No. 7, Mr.
Gossage, which is a memorandum dated February 22, 1972
Tbea |_. Urb<an
______ ___________________________________________ ______________ O^lified orthcmd ["Reporter ----------134 Sootk |_a CoHe Ct-reet
a \co&0, Illinois 6C603
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Gossage direct
155
to Mr. A. J. Koenig, K-o-e-n-i-g, and Mr. D. Elden.
I will give you a chance to look at that
document.
*
A Do you want me to read the entire thing?
Q I don't think it is necessary right now.
For the record, does Deposition Exhibit
No. 7 refresh your recollection as to whether Monsanto
charged its customers for incineration of Pydraul on a
case by case basis?
A No, I don't think that is what this is re
ferring to.
Q What do you think it is referring to?
A Well, first, this is Mr. Koenig who was the
Controller or the accountant for our group, and the
purpose of the memo is to establish cost centers for
charging the incineration cost and the revenue purely
from an accounting standpoint.
His reference where he says something
about different ways, his point, so will be paid for by
Monsanto, others by customers, I believe he is dealing
with heat transfer fluids and a different policy of
how we handle the disposal of some of our heat transfer
fluids rather than different means of handling Pydrauls,
and the point is made that --
Thea [_
Certified ortkjnJ reporter 134 ^outh 1_o (Chicago, | llinoi? 6C603
------
WATER PCB-00053676
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Q There is no question.
MR. SCHINK:
There is no question pending.
BY MS. KELLY:
-
Q Do you know whether incineration costs for
Pydraul was decided on a case by case basis after
February 1972?
A I do not know .
Q Do you recall Mr. Bergen suggesting that the
amount, the price of incineration to a customer would
be negotiated on a case by case basis considering the
competitive factors of sales volume?
MR. SCHINK:
You already asked him that question.
He said he didn't recall. You showed him the next
document and he said he did.
Are you going to ask the question now
for the third time?
MS. KELLY:
No, I am asking about Mr. Bergen ever
discussing this with him.
BY THE WITNESS:
A I have no recollection other than what I read
in this memo .
BY MS. KELLY:
Q Are you looking now at Deposition Exhibit No. 6?
A Yes, I am.
"j"heei (_. [_Jrban
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Q It is Mr. Bergen's suggestion that the in
cineration costs be determined depending on the customer
involved? MR. SCHINK:
No, he said the amount of rebate, not
the amount of incineration cost. That is what the document says.
What is your question?
BY MS. KELLY:
Q You may answer A The document sets a parameter from him to me
that says you can charge up to three cents a pound. Beyond that, Marketing has the authority, it would imply
to me, to negotiate on a case by case basis.
I have no recollection of how Marketing
implemented that. Q Do you know how incineration policy was applied
to Johnson Motors?
A No Q Do you know whether Johnson Motors ever paid
for incineration?
A I do not Q Do you know whether Johnson Motors ever used
the incineration?
A I don't know
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Q Or whether the incinerator was made available
for use by Johnson Motors? MR. SCHINK: He has already answered that question.
He said it was available to all customers.
THE WITNESS:
Available to all customers.
BY MS. KELLY:
Q Could the incinerator, the Monsanto incinerator
at the Krummrich Plant, dispose of Pydraul in a solid
s tate? A
There were no Pydrauls in a solid state, if
you are referring to Pydraul as our hydraulic fluid.
Q Pydraul mixed with solids? A It had some limited capability. If it were
diluted enough so that the solid material could pass through the piping into the system -- it was designed
specifically for the incineration of polychlorinated
biphenyl, not polychlorinated terphenyl, not phosphate
ester, not mineral oil and not solids, all of which we
received from customers. Q When you received material in that form that
you have just described from a customer, what would
you do, what would Monsanto do?
A The judgment was made at the plant as to
whether what we received could be burned in the
~|"heci (_. Urban
Certified S^ orthemd Reporter ---------------------------
134 South \--a S^H0 Street a iccago, | llinoiff 60603 .31? - 782-3332 WATER_PCB-00053679
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incinerator without damaging the incinerator. It is my understanding that we received
things that we could not incinerate and we had to dis- pose of by other means.
Q What means were they? A Typically it would be landfill, improved landfill, if it were so solid we couldn't handle it in our incinerator. Q Would that be around the Krummrich Plant? A Not necessarily. There would have been several landfills that were approved and were used by Krummrich and I could not state the location of those. I just don't know. Q Would Monsanto personnel actually do the landfill? A No. Q Who would perform that? A It would be a contract service.
I would also add that some material is still at Krummrich and is awaiting approved incinerators for handling the disposal of drummed chlorinated bi phenyls, so we are even today carrying at our cost some of that material.
Whether it is Pydraul or some other Xhea !_ Urban
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product, I can only say it is PCB contained material.
MR. PATTI:
Could you repeat the witness' answer?
(Answer read.)
.
BY MS. KELLY:
Q Do you know, was Pydraul manufactured at the
Krummrich Plant?
A In part at the Krummrich Plant.
Q Anywhere else? A Some of the formulation and drumming was done
at the Queeney Plant. Q Do you know what methods the effluent from
the Krummrich Plant was disposed of?
MR. SCHINK:
I am going to object to that on the
grounds of relevance.
For any period of time after 1969?
If he knows prior to that time, certainly
you are entitled to inquire.
BY MS. KELLY:
Q Do you know prior to 1969?
A No .
Q Do you know after 1969?
MR. SCHINK:
The question is do you know.
BY THE WITNESS:
A Do I know how Monsanto handles its effluent?
__ ________________________________________________________________________________________
Xhea l_- LJftxan
Certified S^ ortCnd Reporter --
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BY MS. KELLY: Q At the Krummrich Plant.
A No.
-
Q What about at the Queeney Plant prior to 1969?
A No.
Q Do you know by what methods they dispose of
their effluent, what they did since 1969?
A No. Q Did Monsanto ever address the issue of the PCBs escaping in the environment through the stack after the incineration process at the Krummrich Plant?
A That was measured and monitored. Q At what point in time? A After the incinerator came on stream.
Q After? A After the incinerator was started up.
Q Who monitored that? A It was done at the plant. Q Was there ever a governmental investigation
into that? A I do not know, but the incinerator was designed
so that there was total combustion of PCBs and no material
escaping into the environment.
Q Is the incinerator at the Krummrich Plant still
""["hea 1_. Urt^n
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in use today? A No, it is not.
Q . Why is that?
-
A Because it had served its purpose and after
we had gone out of all of the uses of polychlorinated
biphenyl, after we had actually stayed up there for
awhile after that because we had had a backlog of burning
material that could be handled, when that was completed,
it was shut down and taken down.
Q You testified there is still material at the
Krummrich Plant which needs to be incinerated?
A That is a modest amount of drum material that
was not the type that could be handled in the incinerator
and was received after the incinerator shut down.
Q Where are the drums today?
A They are in a warehouse in our Krummrich Plant
along with other waste material that we will dispose of.
Q Is that PCB-bearing material? A There is some that is PCB.
Q Is that all from the Krummrich Plant? A No, it could be from a transformer at one of our plants that we have changed over from that kind of
a product to a non-PCB-containing material.
Q Do you know if Monsanto's incinerator could
|__. TJrLm (Tei'tified orthand [verc'e" -------
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incinerate Pydraul F-9?
A I do not know.
0 Do you know if it was capable of incinerating'
A-200? A
It was capable of incinerating polychlorinated
biphenyIs.
Q Does that include Pydraul A-200?
A It would include all of those products that
were under the trade name Pydraul that were polychlori
nated biphenyls.
Q Does it include Pydraul A-200B?
A That is a chlorinated terphenyl with some
contamination of polychlorinated biphenyls. I think j we disposed of those also in the incinerator.
It was not designed for polychlorinated
terphenyls, but it was, I'm sure it handled those
products.
Q Who would know, who would have more specific
knowledge concerning that?
A Well, Papageorge for one. Q Did Monsanto make the incinerator available to
all purchasers, prior purchasers of Pydraul when the incinerator was first built?
A The policy was it was available to anyone who
Certified orthcjnrl [Reporter ------13)4 Sou ik La S<alle Street a icogo, | llinois 60603
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had materials containing PCBs that they needed to dis
pose of.
Q Was there ever any research performed by
-
Monsanto as to the capacity of the incinerator in terms
of how much it could handle?
'
A The answer is logical to me, but I have no
knowledge of that.
Q Was there to your knowledge ever a backlog where Monsanto informed its customers that it would not
accept Pydraul for incineration for any period of time?
A Yes, there was a backlog to my knowledge.
We never refused to accept it. Q So Monsanto just accepted it and stored it
until the incinerator was available?
A Yes. Q Who is Cumming Paton? A Cumming Paton was a product manager who re
placed Larry Bradford. Q Was it Mr. Paton's responsibility to supervise
the Johnson Motors account after Mr. Bradford left? A He had product responsibility for Pydrauls
after Mr. Bradford left. He wouldnot have
had sole
responsibility. That would be Norm Johnson's job
until he left, and then it would have been handled by
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"Pheei |__. Urban
Certified S^ortCnd [Reporter ------. 134 5outf L_o S^He Street a icago, Illinois 60603
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regional managers thereafter.
Q Did Mr. Johnson leave the Monsanto Company?
A Yes, he did.
Q And Mr. Bradford as well?
A Yes , he did.
MS. KELLY:
Let's take five minutes and we will
come back.
(Brief recess had.)
BY MS. KELLY:
Q Will you take a look at Deposition Exhibit
No. 1. On Page 1, Paragraph 2, there is a reference
to the top five accounts, and this is referring to
Pydraul products.
Can you tell me -
MR. SCHINK:
No, the subject is industrial
hydraulic fluids.
j
MS. KELLY:
Well, industrial hydraulic fluids.
THE WITNESS:
I haven't found the reference to the
five. Okay.
BY MS. KELLY:
Q Can you tell me who or what the top five accounts
were?
A No, I do not know who they were.
Q Was Johnson Motors one of them?
______________ ________________________________________________________________
ecx L. IM
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166
A I'm sure they were.
Q General Motors? A General Motors, I'm sure they were.
Q Can you think of any others? A No .
MR . SCIIINK: You don't have to guess.
BY MS . KELLY:
Q You testified earlier that you personally
spoke with people at General Motors concerning the
changeover.
Can you tell me the names of those
people?
A No, I couldn't.
Q Do you know what department they were in at
General Motors?
A I know the division that it represents.
Central Foundry.
Q What is that, Central Foundry today?
A Yes . Q Do you know where that is located?
A I don't recall the location, but that is a
specific division and I believe it is a specific
location, and if you know that you can find out what
you want to know.
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Q Looking at Page 2 under the section labeled
Johnson Motors, there is a reference that: "In terms of pricing and incineration, `
we will handle them in the same way as --"
Could you tell me who that is?
A No, I don't know who it is.
Q Do you know what is meant by the term, by
the reference to the concessions made?
A Let me read it.
No, I don't know what that refers to. Q Do you know why, as this memorandum states:
"All phosphate ester fluids will create
phenolics in their effluent"?
A As I testified earlier, the decomposition of
phosphate esters can generate some phenolics.
Q Is that true under all circumstances where
phosphate esters are present and decomposing?
A Normal decomposition mode would be to generate
some phenolics at some point in time. Q Did you have at any time during your involve
ment with Functional Fluids Division at Monsanto and its subsequent division,whenever there was the change of
name, any communications with the EPA?
A No.
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Q Do you know of anyone else at Monsanto who
did? A
Well, Bill Papageorge would have had consider
able communications with the EPA as he would with
certain of the corporate staff people.
Q Who would have been the staff people?
A The Medical Health Department.
Q Do you know the names? A I should say DMEH. That includes Environmental,
or is that just Medical?
MR. SCHINK:
Just answer based on your knowledge.
BY MS. KELLY:
Q So you are saying Mr. Papageorge and.the
Medical Department?
A Among others.
Q Who in the Medical Department?
A Garrett is the name that I recall that was
involved in our concerns about PCBs.
Q Who else? You said among others. A There were certainly people in the Law Depart
ment that would have had discussions.
Q Do you know who they were?
A Phocian Park.
Q Any others? _______ _.________________________________________________ --
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MR. SCHINK:
If you don't know, you don't have to
guess. BY MS. KELLY:
_
Q Do you know the names of any of the EPA
representatives who were in contact with Monsanto
during that period?
A I can recall none of them. Q Are you aware of any agreement entered into between Monsanto and the US EPA concerning removal of PCB-bearing products from the market? A There was no agreement necessary. Our involve ment with them was to keep them informed as to the action we were taking as we were responding to the
various removals of products from the marketplace. Q Are you aware of any agreements between the
EPA and Monsanto concerning the removal of PCB-bearing
products? A I am aware of no agreements. Q You stated that you made a second trip to
Johnson Motors in 1974.
A
'73 or '4, somewhere in there, yes.
It
could have been early '75, but it was late in the time
I was involved.
Q What was the purpose of that visit?
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A I think I testified that it was to see their new facilities as they were moving toward adding die
casting machines and eventually moving old die castingmachines to their new facility.
Q On that occasion who did you meet with?
A I do not recall the names. My recollection
is it was kind of a low level visit, with me just kind
of touring the facility. I am sure I talked to several
people, but I don't know who they were.
Q Do you know who accompanied you, if anyone,
from Monsanto?
A Chuck Seger.
Q Anyone else?
A No . Q Did you on that visit have an opportunity to
look through the new facility?
A Yes. Q Did you go through the old facility as well?
A Yes. Now, the focus was on the new facility,
but we did see the old facility. Q Were you taken on a tour of these facilities
by someone from Johnson Motors?
A Yes.
Q But you cannot recall any of the personnel at
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Johnson Motors that you had --
A No, no.
Q What were youshown in the old facility?
A I think I was just walked through the facility
and given a general feeling of the die casting equipment
that was going to be moved to the new facility.
0 Did you review any of the die casting machines
that were not going to be moved?
A I have no recollection of that.
Q Did you review the containment operation in
the old facility for Pydraul leakages and spills?
A No. The focus was on the new facility and
what systems they were putting in place to contain
hydraulic fluids in the new facility.
Q Did you see any of the interceptors for the
collection of used Pydraul in the old facility?
A I don't recall.
Q What were you shown concerning the interceptors
in the new facility?
A I can't recall other than their talking
about whether they were putting in -- it was not in a
complete form.
It was somewhere during the construction
period.
They were talking about the kinds of
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controls they were going to put in place to contain
fluids in the new system. Q What were the controls they were informing -
you of? A I have no recollection of that. Q What did you conclude from that meeting about
the new facility? A It was a very attractive new facility. It
was substantially different from their old facility. I certainly left with the impression
that they had done a good job in beginning to think about how they were going to contain their spillages in the future.
Q Were you informed at that time that the new facility was going to contain all waste and effluent from the die casting operation in the new facility?
A I cannot say. I can only say the impression was they had spent a lot of time worrying about and including in their investment a significant amount of control.
Q Who requested that meeting? A I think it was merely a part of my traveling with their salesman and in his territory and that was one of the accounts that he picked for me to see.
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Q Who was the salesman at that time?
A Chuck Seger.
Q Did you visit any other account at that time?
A I am sure I visited some other accounts of
his, but they were not necessarily Pydraul accounts.
He was handling a broad line and I cannot
recall whom else.
Q Other than the time in 1971 and this time we
have been talking about in 1973 or '4, have you ever
visited the Johnson Motors facility in Waukegan,
Illinois?
A No, I do not believe I visited on any other
occasions.
Q Are you aware of any indemnity or hold harm
less agreement which Monsanto entered into with any of
its customers or purchasers of Pydraul regarding
Monsanto's agreement or the customer's agreement to
hold harmless for any damage incurred?
A For Pydraul?
Q As with regard to Pydraul.
A No. Q Have you ever had at any time any discussions
with anyone concerning such agreements?
A On Pydraul?
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Q Regarding Pydraul. A No. Q Or regarding any other industrial fluids? A Yes . Q When was that? A During that 1972 or '3 to '75 time period. Q In what circumstances would an indemnity agreement or hold harmless agreement be entered into? A We went to the dielectric industry, both capacitors and transformers, and informed the customers' that we would only continue to sell them polychlorinated biphenyls which at that time they claimed they had no substitute for and would shut down their respective industries, that we would only continue to sell to them if they entered into a hold harmless agreement with Monsanto. Q Do you remember, did customers accept and sign such agreements as a general rule? A All did and we would only sell to them after that time if there was such an agreement between them selves and ourselves. Q Was a similar agreement ever used to your knowledge with regard to any of the other industrial fluids apart from the dielectric?
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A It was never used anywhere except in the
dielectric industry, to my knowledge, and it was used
there because the industry indicated there was no other-
alternative for them if they were to continue to supply
capacitors and transformers.
Q Was that a Monsanto decision or industry-wide
decision?
A It was a Monsanto decision.
Q Do you know when Monsanto first began develop
ing 50E, Pydraul 50E?
A No, I can't tell you whether it was before I
joined the group or shortly after I joined the group.
I would say it was around the '70 time
period.
Q Was it an objective of Monsanto to develop a
hydraulic fluid which did not contain PCBs at the time
you joined the Functional Fluids Group?
A I can't tell you whether the origin was for
that purpose or not. Other hydraulic fluids we sold
were phosphate esters. Our competitors had phosphate
esters in their product line that was offered as an
alternative to polychlorinated biphenyls or polychlori
nated terphenyls. And whether the development was
originally to be competitive or whether it was started
_____ _Certified
orthond Reporter
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as a result of our concern about PCBs, I cannot give you that origin.
Q Mr. Gossage, what did you do in order to
prep are for this deposition today? A Absolutely nothing until yesterday, and we
met for a few hours yesterday.
Q Did you review documents?
A Yes, some documents.
Q Documents that we reviewed heretoday?
A Not all the ones that we reviewed here today;
some of them.
Q Did you speak with anyone other than your
attorney in order to prepare?
.
A Absolutely not. Q Are you aware of anyadvertising which Monsanto
purchased as regards to Pydraul?
A Advertising was the responsibility of Marketing
Department which I ran,and yes, we had some advertising
program on Pydrauls.
Q Did that include advertising in magazines?
A Yes.
Q Do you know the names of those magazines?
A
It would have been like
Chemical Engineers,
Chemical Week.
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There were certain journals that were
specific to the die casting industry and the metal
working industry and I am not familiar with the titles
of those. We would have picked those journals where
our customers would typically subscribe to them.
Q Are you aware of any newspaper advertising?
A No .
Q Or radio -
A No, no. It would be focused on journal
advertising.
Q And no television advertising?
A
No.
A very modest budget.
Q Can you think of any other journals or maga
zines besides Chemical Engineering or Chemical Week?
A As I say, there are a number of journals that
service the metal working and die casting industry and
I just cannot remember the titles of them. I was
familiar with them at the time I was in that job, but
I don't remember what the titles are.
MS. KELLY:
That's all I have.
CROSS EXAMINATION
BY MR. PATTI:
Q Mr. Gossage, my name is Sebastian Patti and
I represent the United States in this matter. I only
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have a few questions this afternoon.
I believe you testified earlier on a
number of occasions that hydraulic fluids which were -
originally formulated to be PCT-based in fact included
PCBs in trace amounts, is that correct?
A Yes, I testified to that.
Q I also believe you testified that as a trained
chemical engineer, you expected to find low levels of
PCBs in these PCT hydraulic fluids?
MR. SCHINK:
I don't think that was his testimony.
BY THE WITNESS:
A My testimony was I recall in a meeting with
Bill Richard I asked whether it would be expected that
those products could contain minor quantities of poly
chlorinated biphenyls, and I posed the question based
on my understanding of our process and whatever limited
knowledge of chemistry I had. But that was a question,
as a question I put to him and not a conclusion or a
f act.
BY MR. PATTI:
Q All right.
Now, in a number of occasions today you
characterized the presence of PCBs in these PCT fluids
as contamination, is that correct? ----------------------------------------------------------------------------- -------- -------------
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A Yes .
Q I ask you what do you mean by the word
contamination?
~
A I used the word contamination in that it was
not something that we intended to formulate into the
product, that it was something that was there as a
result of the process that our separation equipment
would preclude the elimination of it in parts per
million.
Q Would you characterize it as an impurity?
A Yes, I think that is maybe a better choice
of words than contaminant, as by the way, biphenyl
or terphenyl would also be an impurity if this were
i so that got through in chlorinating.
Q Would you characterize it as a defect?
MR. SCHINK:
I would object to that as a conclu
sion if you are asking for a legal conclusion of defect
in product liability sense as a layman.
MR. PATTI:
All I am asking him for is a dictionary
definition of the word.
MR. SCHINK:
Why don't you ask him the question
did the presence of PCBs in trace amounts in the product
affect its usefulness or its use as a hydraulic fluid.
MR. PATTI:
I think my question stands.
"Thee1 1_. Urban
Citified S^> orthand [Reporter ---------------------
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180
BY MR. PATTI: Q As the dictionary defines the word, would you
define it as a defect?
~
MR. SCHINK:
I'm going to object to the form of
that question. BY MR. PATTI:
Q You can answer. A In terms of the product functioning as it was
intended to function, in terms of it meeting the speci fications that we set for it and that customers set in
their purchase of the product, it was not a defect.
It would perform equally as well as would the poly chlorinated terphenyl.
Q You have testified that these PCBs were present in the PCT fluids in trace amounts at a parts per million
level.
Do you know the exact parameter level
they were found?
A No, I MR . PATTI: MS . KELLY:
Do you have some questions?
MR. SCHINK MS . KELLY: a round.
I may.
I think we will wait until we have
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181
MR. SCHINK:
I think we ought to complete the
interrogation before I do anything.
MS. KELLY:
Then I will reserve my right to ask -
questions after your questions.
MR. SCHINK:
I have no further questions.
MS. KELLY:
I have just two.
REDIRECT EXAMINATION
BY MS. KELLY: Q Where is Mr. Olson today? Is he still with
Monsanto?
A Yes, he is.
Q What division? A He is with the Monsanto Intermediates Company
as Marketing Director for the Commercial Division of
that company.
Q Is that in St. Louis?
A Yes, it is.
Q Was the base stock, the composition of the
various Pydrauls manufactured by Monsanto a trade secret?
MR. SCHINK:
Are you talking about the fact that
the Pydraul contained, for example, chlorinated hydro
carbons? Is that what you mean by that?
MS. KELLY:
No, I mean the chemical composition.
MR. SCHINK: I am trying to clarify what you mean
|_. L_J T'txstn
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182
by chemical composition. Chlorinated hydrocarbon, that
is a chemical composition or chlorinated biphenyl.
BY MS. KELLY:
`
Q Let me put it this way:
If a customer were to call Monsanto and
said, "Give me the recipe for Pydraul," any of the
Pydrauls, would Monsanto have released that information?
A I think that depends. He would have gotten
an answer that at a point in time this is polychlorinated
biphenyl. If he had asked on a certain product, he would
have been told it is polychlorinated biphenyl or other
additives or other ingredients. I doubt we would have
given the 42 percent this and 5 percent that. . That
would not be a typical response.
We would tell him the chemical nature
of the product.
Q Prior to 1970 would a Monsanto customer be
informed as to the chemical composition of the Pydraul
fluids back on then? A That it was a chlorinated biphenyl,
Q Are you aware of any circumstances where a
customer was informed of that fact?
A That was before I was in the organization.
Q On what do you base your opinion that that
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information would have been released prior to 1970?
A Because that is what we told them after 1970
on similar products like heat transfer fluids.
Q But you don't know of any instances where a
customer requested that information?
A Not before 1970.
Q Or where Monsanto released that information
before 1970?
A That is correct.
MS . KELLY:
That is all I have.
MR. SCHINK:
We will not waive signature.
(Witness excused.)
FURTHER DEPONENT SAYETH NOT. . .
""["liea |_.
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IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS
EASTERN DIVISION
THE UNITED STATES OF AMERICA Plaintiff
vs OUTBOARD MARINE CORPORATION AND MONSANTO COMPANY,
Defendants
No. 78 C 1004
I hereby certify that I have read the foregoing transcript of my deposition given at the time and place aforesaid, consisting of Pages 1 to 183, inclusive, and I do again subscribe and make oath that the same is a true, correct and complete transcript of my deposition so given as aforesaid, as it now appears.
Thomas L. Gossage
Subscribed and before me this of
sworn to ________ day , A.D. 1981
Notary Public
WATER PCB-00053705
185
UNITED STATES OF AMERICA NORTHERN DISTRICT OFILLINOIS EASTERN DIVISION STATE OF ILLINOIS COUNTY OF COOK
) )
) )
)SS:
I, Thea L. Urban, a notary public in
'
and for the County of Cook and State of Illinois, do
hereby certify that THOMAS LAYTON GOSSAGE was by me
first duly sworn to testify the whole truth and that
the above deposition was recorded stenographically by
me and was reduced to typewriting under my personal
direction, and that the said deposition constitutes
a true record of the testimony given by said witness.
I further certify that the reading and
signing of said deposition was not waived by the
witness and his counsel.
I further certify that I am not a
relative or employee or attorney or counsel of any of
the parties, or a relative or employee of such attorney
or counsel, or financially interested directly or
indirectly in this action.
IN WITNESS WHEREOF, I have hereunto
set my hand and affixed my seal of office at Chicago,
Illinois, this ________ day of August, A.D. 1981.
Notary Public, Cook County, Illinois. My commission expires May 31, 1983.
-------------------------------------.---------------- --
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