Maremont objects to plaintiffs discovery requests on the grounds that they are overbroad, vague, unduly burdensome, not relevant and not reasonably calculated to lead to the discovery of admissible evidence.
refid# ppwxaDoX5zpvQQJZq4n5288ZX71 pages
Defendant further objects to this request because it fails to describe with MW/101101 -6- reasonable particularity the item or category of items sought to be inspected as required by Rule 196.1 of the Texas Rules of Civil Procedure, and because it seeks matters that are not relevant to the subject matter of this lawsuit or reasonably calculated to lead to the discovery of admissible evidence.
refid# QJMQjO2Dnyr42JqpYXNMyZyw871 pages
Defendant further objects to this request because it fails to describe with MW/103385 -6- reasonable particularity the item or category of items sought to be inspected as required by Rule 196.1 of the Texas Rules of Civil Procedure, and because it seeks matters that are not relevant to the subject matter of this lawsuit or reasonably calculated to lead to the discovery of admissible evidence.
refid# Yrqg9anoDKa6gLJYk9XOogXEE73 pages
- secured witlt Fagle White Lead.
refid# K63pnMpqvaLz474NE2Dx6owKw21 pages
Defendant further objects to this request because it fails to describe with MW/103383 -6- reasonable particularity the item or category of items sought to be inspected as required by Rule 196.1 of the Texas Rules of Civil Procedure, and because it seeks matters that are not relevant to the subject matter of this lawsuit or reasonably calculated to lead to the discovery of admissible evidence.
refid# emqZ26o4J8q1a4vEXEynxgOgp76 pages
Maremont objects to plaintiffs' discovery requests on the grounds that they are overbroad, vague, unduly burdensome, not relevant and not reasonably calculated to lead to the discovery of admissible evidence.
refid# jB2KzJoL2Ra35a3ozx8oLjXRR71 pages
Maremont objects to plaintiffs' discovery requests on the grounds that they are overbroad, vague, unduly burdensome, not relevant and not reasonably calculated to lead to the discovery of admissible evidence.
refid# redE0GkL4DVvoGq851Jzv169a71 pages
Goiaplete clinical examination (consisting of physical examination, microscopic "blood examination (Red count, white count, differential count, haemoglobin determination, count of stippled erythrocytes), urinalysis, lead analysis of urine and lead analysis o f b lood, lead analysis of faeces.)
refid# ExaJRBvdBY1ZzYJBLj0OJxz1j2 pages
From National Lead.
refid# XODrvLr9k8ZY1rQm9nnDjGy5K1 page
JLn/ net WEIGHT PURE WHITE LEAD Basic Carbonate of Lead.......... 89% Linseed OIL.................................9% Mineral Spirits......................... - 2% 100% Jo h n Lu c a s 6 Co mp a n y , me.
refid# rp98oZGpNemVmNJE9vXdodvVe2 pages
NATIONAL LEAD CO
refid# v18pYxjzZBpmOpBaqapNLDoy81 page
It is my understanding that it is the intention of your Company to permit the use of tetraethyl lead in gasoline of 82 octane number and above, limiting this to gasoline for aviation purposes, in amount.not to exceed 4-1/2 e.c. tetraethyl lead per U.
refid# NeJEnz477V2Jz1JOwy6pawKqQ1 page
There vas no^evdehc found which would support a diagnosis of lead intoxication and analysis of the blood for lead shoved a lead level hot in excess of normal unexposed individuals.
refid# rpj5EEX6RwB6e84edvxEJGjev1 page
NATIONAL LEAD COMPANY '.11 Brosawav New York 5.
refid# YjGVaYeQ9Y2apOvDjnmjzy43K1 page
The preference that exists for Dutch Boy White-Lead also extends to the other members of the Dutch Boy family listed below, w&mmmm*****NATIONAL LEAD COMPANY DUTCH BOY WHITE-LEAD KD-33"-%3z".ftXjJ2u1n,e 11 N28311
refid# gav57wG2KDgX2beOYBLBMdJG31 page