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INTERROGATORIES TO DEFENDANT, SET ONE Plaintiff requests that the Defendant, ___________, answer the following interrogatories: DEFINITIONS 1.The term documents means: all writings of any kind, including the originals
and all non-identical copies, whether different from the originals by reason of any notation made
on such copies or otherwise, and whether printed, recorded, created or reproduced by any
mechanical means or process, or written or produced by hand, including, but not limited to:
agreements; contracts; drafts of agreements or contracts; written material referencing oral
agreements or contracts; confirmatory memoranda; letters of intent; orders; purchase orders;
communications; messages; correspondence; personal calendars (whether written electronically
or computerized); letters; postcards; telegrams; teletypes; telefax; mailgrams; tape recordings;
memoranda; diaries (whether written, electronic or computerized); summaries; notes or other
typed or written records; files; intra-office and interoffice memoranda and communications;
personal memoranda; photographic slides; pictures; motion picture films; photographic film;
microfilm; microfiche; newspapers; magazines; charts; graphs; drawings; bookkeeping entries;
account summaries or statements; financial statements; balance sheets; invoices; bills; orders;
receipts; bank record of all types; notes of interviews; statements of witnesses; findings of
investigations; reports of experts who are expected to be called to trial; materials furnished to
experts expected to be called to trial, cassettes; micro cassettes; computer discs; pamphlets;
bulletins; posters; blueprints; drawings; recommendations; safety books; safety manuals; written
or printed warnings; test results; opinions or conclusions from test results or investigations; and
letters.2.Identify, when referring to a document request, means that the following
information be supplied:1A description of the document;2The date of the document;3The name or names of any individual who may have authored the
document or provided information for the document;4The name or names of any individual to whom the document was sent;5A general description of the subject matter of the document; and (2) The name or names of any person who sent the document.3.Identify, when using reference to a person or company or entity, requests that
the following information be supplied:(1)The correct name and address of that person or entity;(2) The correct name and address of that persons employer and job title if
2 reference is made to that person;(3)If the information requested contains the name of a person that is no
longer employed or associated with Defendant then Defendant or its
attorneys should supply not only the correct name and last known address
of that person but that person s date of birth, social security number and
last known employer; and(4)If the interrogatory requests that the Defendant identify a member,
then provide the correct name, address, telephone number, social security
number and date of birth of that member. INSTRUCTIONS 1. Wherever information is requested, the request should be deemed to include
information available to this Defendant, its past and present insurance carrier or carriers, its
attorneys and all officers, agents and/or employees of this Defendant.2. Should this Defendant deem any documents to be privileged, Defendant shall list
such documentation in the manner above indicated, and in addition to supplying the above-noted
information concerning such documents, Defendant shall indicate what privilege is claimed and
shall briefly state the ground on which the claim of privilege rests, in order that the Plaintiff may
have the factual basis to determine whether or not such documents are, in fact, privileged. * * * * * * * * * * 1. With regard to any lawsuit filed against NFL concerning any injury or death on
the premises of NFL, provide or state: the style of the case; civil action number; court where
filed; and, identify the attorney representing the plaintiff. Also, set forth the allegations of each
plaintiff.RESPONSE:2.Identify:
3 (a)Any employee with NFL for the last five (5) years whose job or duty it
was to inspect the work site for safety and safe working conditions;(b)Any contractor for or employee for the last five (5) years whose job or
duty it was to create a Hazard Communication Standard for NFL;(c)Any contractor for or employee with NFL for the last five (5) years whose
job or duty it was to implement the Hazard Communication Standard;(d)Any employee with NFL for the last five (5) years whose job or duty it
was to inspect the premises of NFL to locate hazardous chemicals in the work place;(e)Any employee or person with NFL for the last five (5) years whose job it
was to create or maintain a list of hazardous or potentially hazardous chemicals on the work site
of NFL;(f)Any employee for the last five (5) years with NFL or person with NFL
who created a written plan which described how to communicate to workers the hazards
associated with chemicals on the premises and/or any Hazard or Communication Program with
NFL;(g)Any person with NFL for the last five (5) years who was responsible for
insuring the labeling of in plant containers of hazardous materials;
4 (h)Any person with NFL for the last five (5) years whose job or duty it was to
maintain Material Safety Data Sheets (MSDS) for chemicals at NFL;(i)Any employee or person with NFL for the last five (5) years whose job or
duty it was to train workers about hazardous chemicals in the work place at NFL;(j)Any individual with NFL whose job or duty it was to ensure or see to the
proper, safe disposal of the drums removed by the Plaintiff from the premises of NFL;(j)Any person with NFL who knew that the Plaintiff was removing the
drums from the premises of NFL, prior to his injury;(l)The entity that manufactured the contents of each of the drums removed
by the Plaintiff;(m)The entity from whom NFL purchased the drums or contents of the drums
which were removed by the Plaintiff; and,(n) Any individual with NFL who knew the contents of the drums removed by
Plaintiff.
5 RESPONSE:3.For each drum removed by the Plaintiff, state or provide:(a)The date it was acquired by NFL;(b)What was in the container as originally acquired;(c)What substance was put in the container by NFL or any other person or
entity; and,(d)The entity from whom it was acquired.RESPONSE:4.Set forth in detail what and how Plaintiff was to dispose of the drums that were
removed from the premises of NFL.RESPONSE:
6 5.With respect to the drum that exploded or caused the Plaintiff s injury, state or
provide:(a) The entity from whom it was obtained and the date it was obtained or
purchased or acquired by NFL;(b) What was in it at all times that it was on the premises of NFL; and,(c)What the substance was used for that was in the drum or on the premises
of NFL.RESPONSE:6.With respect to any prior removal or disposal of drums, state or provide:(a)The date and number of drums removed and disposed of;(b)Identify the person or entity that removed and disposed of these drums;
7 (c)Describe the method of disposal and the location where they were
disposed; and,(d) Identify the person or persons with NFL having knowledge of the removal
and disposal of such drums;(e) Identify the owner of the premises where barrels where removed; and,(f)Identify the owner of the barrels removed by Plaintiff.RESPONSE:7. Did this Defendant or any of its employee before the Plaintiff s injury know or
contend that welding or burning of the drum on which Plaintiff was working at the time of his
injury, could result in an explosion or that it would create a flammable situation? If so, identify
each person who claims such knowledge and set forth the extent of their knowledge or opinion.
8 (a)State whether or not this information was provided to the Plaintiff and if
so, how and when it was provided to the Plaintiff along with who provided it.RESPONSE:8. Were any warnings given to the Plaintiff before his injury about what should or
should not be done with respect to burning, cutting with a torch or disposal of the drums? If so,
state what warnings were given and identify who provided the warnings.RESPONSE:
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