Document zdbpp3n68dgEZjgaG72NVBK06
1 (d) the quantitative percentage of each chemical
component of the brake linings under each trade or
2 brand name;
3 (e) if asbestos was included m the composition of the brake linings which defendant manufactured
4 under any trade or brand name, please state:
5 (l) The type of asbestos fiber (i.e., amosite, chrysotile, crocidolite) used m the brake lin
6 ings under each trade or brand name;
7 (ii) The quantitative percentage of asbestos fiber used in the brake linings under each trade
8 or brand name;
9 (m) The years during which asbestos fiber was included in the composition of the brake linings
10 under each trade or brand name;
11 RESPONSE TO INTERROGATORY NO. 118:
12 See Wagner's response to Interrogatory No. 9.
13 INTERROGATORY NO. 119:
14 At any time during the period 1948 to 1978, did defen dant distribute automobile brake linings or brake assemblies?
15 If so, please state:
16 (a) the trade or brand name(s) under which the
brake linings or brake assemblies were marketed;
17
(b) the years during which the brake linings or
18 brake assemblies, under each trade or brand name, were
manufactured;
19
(c) the date each product was withdrawn from the
20 market, if such is the case;
21 (d) the quantitative percentage of each chemical
component of the brake linings under each trade or
22 brand name;
23 (e) if asbestos was included in the composition of the brake linings which defendant manufactured
24 under any trade or brand name, please state:
(i) The type of asbestos fiber (i.e., amosite, chrysotile, crocidolite) used in the brake lin ings under each trade or brand name;
(n) The quantitative percentage of asbestos fiber used in the brake linings under each trade or brand name;
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