Document zx5B4EGL4p8N7JY7eaoM26v7
1 Q Do you have any specific knowledge of what 2 was shared between OCF and O-I during that period of 3 time? 4 A No. 5 Q As you know, I represent Owens-Illinois. 6 MR. IGNATOWSKI: What page are you on? 7 MR. McGOWAN: 121. Let's skip to line 17. 8 BY MR. McGOWAN: 9 Q Did you do any asbestos research -10 MR. McGOWAN: Excuse me. Line 12, Mr. 11 Ignatowski. 12 BY MR. McGOWAN: 13 Q Am I correct, from having heard your prior 14 testimony , that you did not have any involvement 15 whatsoever with asbestos or asbestos-containing 16 products while you were employed by Owens-Illinois? 17 A Right. 18 Q Nor did you have any research or have any 19 involvement with asbestos-containing products while 20 you were with Owens-Corning from 1939 to 1940 in 21 Toledo?
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