Document z09zOqR7E7LRXnwa2jqqwm37

11572-1000 MXY/dal INTERROGATORY NO. 98: Identify any and all documents which Defendant, its predecessors) or any related company [between 1930 and 1980] submitted to, or received from, the organizations listed in response to Interrogatory Nos. 94 and/or 97: (a) which refer to, relate to or reflect the subject of asbestos; (b) which refer to, relate to or reflect a relationship between asbestos exposure and any disease; and/or (c) which refer to, relate to or reflect the placement or providing of warnings with respect to hazardous products. ANSWER: See Answers to Interrogatory Nos. 43,96 and 99, which are incorporated herein as if fully rewritten. INTERROGATORY NO. 99: Identify any and all documents including, but not limited to, minutes, bulletins or reports, [that were, between 1930 and 1980,] created by, or on behalfof, any trade organization, association or entity listed in response to Interrogatory No. 94 and/or 97 or any committee, subcommittee or subgroup thereof; (a) which refer to, relate to or reflect the subject of asbestos; (b) which refer to, relate to or reflect a relationship between asbestos exposure and any disease; or (c) which refer to, relate to or reflect the placement or providing of warnings with respect to hazardous products. ANSWER: 103