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DISPERSION OF ASBESTOS IN POLYSTYRENE "Calidria" Asbestos RG-600 Untreated "Calidria" Asbestos These electron micrographs show that surface-treated "Calidria" asbestos RG-600 disperses more readily in polystyrene resin than untreated "Calidria" asbestos.
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11354-1000 RPM/nks IN THE CIRCUIT COURT OF THE THIRD JUDICIAL CIRCUIT MADISON COUNTY, ILLINOIS IN RE: ALL ASBESTOS LITIGATION ) FILED BY THE SIMMONS FIRM, L.L.C., ) ) Plaintiffs, ) ) v. ) ) A.W.
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MONSANTO CHEMICAL COMPANY Location: Texas City, Texas Date: September 26, 1963 Subject: Safety Sampling Index Program To: R Db McCullough (Group A, Team #28) Jo Ws Waites (Group B, Team #41) Do Ra Wise (Group B, Team #38) cc: R= Lo Townsend Hs Fo Boggess Hs M0 Keating ^Cs Ls Gilmore A, Go Simons (338) Ea Mo Travis (#41) L, As Walker (#28) Your participation in the Safety Sampling Index Program has been under standably impeded by startup activities,, So that you may participate more fully in this program the following arrangements are to be put into effect immediately: lo A copy of your shift schedule is being sent with a copy of this letter to your inspection team captain He should consider your shift schedule and the following rules in planning inspections for your team* 2* You are to attend one of the too regularly scheduled safety meetings (1st and 3rd Thursdays each month) as long as either of them falls on a day when you are or shift #1 The meeting need not be the one normally attended by your particular group (A or B),, If Riley Townsend is also planning to attend the meeting, you and he should arrange with Hank Boggess to cover operations while the two of you are absents If Riley is not going to the meeting, arrange with him to cover operations in your absences You are not expected to attend meetings when you are on #2 or #3 shift or on days off,, 3o You are. to make all scheduled inspections when you are on shift #1 or t'2s When on #2 shift you should, if necessary, come in early for an inspection; however, it should not be scheduled more than 30 minutes before you normally report for work (this you can arrange with your captains),, You should arrange with Riley or Hank to cover operations for you during inspections on the #1 shifts Coverage is not a factor, of course, when you come in early before the #2 shifts You ere not expected to make inspections when you are on #3 shift or days offs 4s Occasionally the work situation may make it impossible for you to attend a meeting or inspections If you have a question about whether or not to go, please check with Hank Boggess0 jad SC 14760 Wo L= Hy&r L/M\A015352 ) Texas City, Texas August 19, 1963 TRAINING SESSIONS FOR INSPECTION TEAMS W.
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fel'ulitO tr.OU ((JAMf * tOtAtlON) February 12, 1976 PLAINTIFF'S EXHIBIT K' SHAC Committee KHFJNCt TO * Plant Manager's Safety Board > lieS)e In order to maintain the plant in a high-level of Housekeeping and Safety awareness the year round, the SHA^C Committee is planning on conducting a Guest Inspection of the plant quarterly.
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IH IQ -I- >, Monsanto ..o -*~f hocai,o~i r.
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Mcc10 Monsanto f E.
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Subject to and without waiving these objections, and insofar as Abex understands this interrogatory, see Answer to Interrogatory Nos. 19 and 20. -73-
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INTERROGATORY NO. 39: Withdrawn by plaintiff or stricken by the Court.
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or which are otherwise subject to the attorney-client privilege, protected by the attorney workproduct doctrine, the rule protecting materials prepared in anticipation of and/or in connection with litigation, or any other applicable privilege.
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INTERROGATORY NO. 54: Has Defendant, any predecessor or any related company, or any person or entity acting op behalf thereof, including but not limited to, any insurance company, at any time, conducted any industrial hygiene surveys concerning any product identified in response to Interrogatory No. 19, including, but not limited to, surveys concerning the manufacture, processing, application, installation, use and/or removal of said products?
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INTERROGATORY NO. 77: Describe, in detail, any and all tests, if any, conducted by Defendant, any predecessor or any related company, or anyone acting on behalf thereof, concerning the quantity, quality or threshold limit values of asbestos dust or particles to which applicators or consumers of asbestos-containing products were exposed while using any product identified in response to Interrogatory Nos. 19 and 42, Including:________________________ ___ _______ _ _________________ (a) The product being used; (b) Identify any and all person(s), firms) or entity(ies) conducting or participating in the conducting of said test; (c) State the dates) of said test: (d) Describe the methodology, results and conclusions of said test; (e) Identify any and all documents referring to, relating or reflecting said test or the results and conclusions thereof; and, (f) Identify any and all persons to whom any document referring to, relating to or reflecting the results or conclusions of said test was sent.
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Page 155 1 THE WITNESS: Yeah, I'd like to hear it again, 2 Judge. 3 (Record read.) 4 THE WITNESS: That's what I thought.
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PLAINTIFF'S EXHIBIT TLVs Threshold Limit Values for Chemical Substances and Physical Agents in the Workroom Environment with Intended Changes for 1976 CBY 3102501 C 000160 LAM022070 SvbstMCt SIUCA.
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ct Monsanto *Qm ;*AMt A iC.a7'Onj J.
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