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HomeMy WebLinkAbout11-2785HERMAN & LYDIA :In The Superior Court of the State of California CONTRERAS, et al., :For the County of Los Angeles Plaintiff :Case No. BC - 428494 Vi. :[Hon. John A. Clarke] - ADVOCATE MINES LTD, et al., Defendant :CP-21-CV- -2011 PETITION TO ISSUE FOREIGN SUBPOENA A COMES NOW, defendant Ameron International Corporation et al, and hereby petitions this Court for a Subpoena to Produce Documents or Things for Discovery, Pursuant to Rule 4009.22 of a non-party, The Custodian of Records, Rhone-Poulenc Base Chemicals Co. as successor-in-interest to Stauffer Chemical Company, 100 Pine Street, Harrisburg, PA 17110, and in support of this petition states as follows: 1. Petitioner/Ameron International Corporation et al is the Defendant in the above case which is currently pending in the Superior Court of the State of California for the County of Los Angeles at Civil Action No. BC-428494 2. On information and belief, all of the aforementioned non-parties have possession of relevant documents and information needed by Petitioner to prepare this case for trial. 3. The Prothonotary's Office of Cumberland County, Pennsylvania has indicated that it will issue a subpoena to The Custodian of Records, Rhone-Poulenc Base Chemicals Co. as successor-in-interest to Stauffer Chemical Company, 100 Pine Street, Harrisburg, PA 17110, upon receipt of this petition and a commission from the Superior Court of the State of California for the County of Los Angeles requesting the issuance of such subpoena. 41 3 . e e. K GG /qty .. ,6 ??y 4. Attached is a Commission from the Superior Court of the State of California for the County of Los Angeles as agreed upon by counsel for the parties, as well as a copy of the foreign subpoena. WHEREFORE, Petitioner/Ameron International Corporation et al, hereby requests this Court to issue the attached Subpoena to non-parties, The Custodian of Records, Rhone-Poulenc Base Chemicals Co. as successor-in-interest to Stauffer Chemical Company, 100 Pine Street, Harrisburg, PA 17110. Date: -%A I Respectfully Submitted, ROMINGER & ASSOCIATES Karl . Rominger, Esquire 155 South Hanover Street Carlisle, PA 17013 (717) 241-6070 Supreme Court ID # 81924 Attorney for Defendant . t. e rI DISC-030 I '.TTORNEY OR PARTY WITHOUT ATTORNEY (Name, S ar number, and address): FOR COURT USE ONLY -Keith M. Ameele, Esq. SBN # 221927 Suzanna L. Minasian, Esq. SBN # 245556 Foley & Mansfield, PLLP 300 South Grand Avenue, Suite 2800 TELEPHONE NO.: (213) 283-2100 FAX NO. (Optional): (213) 283-2101 E-MAIL ADDRESS (Optional): sminasian@fo1eymansfie1d.com ATTORNEY FOR Name): Ameron International Corporation SUPERIOR COURT OF CALIFORNIA, COUNTY OF Los Angeles STREET ADDRESS . 111 N. Hill Street MAILINGADDRESS. 111 N. Hill Street CITY AND ZIP CODE: Los Angeles, CA 90012 BRANCH NAME. Central District SHORTTITLE: Lydia Contreras, et al. v. Advocate Mines LTD, et al. COMMISSION TO TAKE DEPOSITION OUTSIDE CALIFORNIA CASE NUMBER: ORDERED BY COURT 0 ISSUED BY THE CLERK OF THE COURT BC 4 2 8 4 9 4 1. The Superior Court of California hereby authorizes the deposition, upon oral examination, of (identity of deponent): The Custodian of Records and Person Most Knowledgeable of Rhone-Poulenc Basic Chemicals Co., as successor-in-interest of Stauffer Chemical Company 2. The deposition is to be taken in (state of the United States, territory, or insular possession subject to its jurisdiction): Pennsylvania 3. The deposition will be conducted (check one): a. x0 under the supervision of a person who is authorized to administer oaths by the laws of the United States or those of the place where the examination is to be held, and who is not otherwise disqualified under California Code of Civil Procedure sections 2025.320 and 2025.340(b)-(f); or b. = Before (name of appointee): who is appointed to administer oaths and to take testimony. 4. The documents or things to be produced at the time and place of the depsotion are [xx described in Attachment 4 0 none. 5. Additional terms required by the foreign jurisdiction to initiate the process are contained in Attachment 5. Number of pages attached: 1. t.. 6. Under California Code of Civil Procedure section 2026.010, California authorizes that a commission to take an out-of-state deposition may be issued by the clerk of the court or, if the foreign jurisdiction requires it, by order of the court. 7. The Superior Court of the State of California hereby requests t process issue in the above-referenced place where the examination is to be held, requiring the attenda7ft and ehf? ,g.?he obl)gations of the deponent to produce documents and answer questions. DES 3 d !! Date: Judge V1 ? As' OR I -- Clerk, by A Li &A'uty Pape 1 of t ouncil of Calif of Califoalrnia Use COMMISSION TO TAKE Cofur Code Civ Proc., § 2026.010(f) JFormudicial Council Approved ons- DISC-030 (New January 1, 20081 DEPOSITION OUTSIDE CALIFORNIA S SUBP-020 ATTORNEY OR PARTY WITHOUT ATTORNEY (Name, State Bar number, and address): FOR COURT USE ONLY -Keith M. Ameele, Esq. SBN # 221927 Suzanna L. Minasian, Esq. SBN # 245556 Foley & Mansfield, PLLP 300 South Grand Avenue, Suite 2800 Los Angeles, CA 90071 TELEPHONENO.: (213) 283-2100 FAXNO.(Optionan: (213) 283-2101 E-MAIL ADDRESS (Optional): sminasian@foleymansfield.com ATTORNEY FOR (Name): Ameron International Corporation SUPERIOR COURT OF CALIFORNIA, COUNTY OF Los Angeles STREETADDRESS: 111 N. Hill Street MAILINGADDRESS: 111 N. Hill Street CITYANDZIPCODE: Los Angeles, CA 90012 BRANCH NAME: Central District PLAINTIFF/PETITIONER:Herman Contreras and Lydia Contreras DEFENDANT/RESPON DENT:Advocate Mines LTD, et al., DEPOSITION SUBPOENA CASE NUMBER: FOR PERSONAL APPEARANCE AND PRODUCTION OF DOCUMENTS AND THINGS BC 428494 THE PEOPLE OF THE STATE OF CALIFORNIA T na a address and telephone number of deponent, if known): cessor-in- in erest to Stauffer Chemical Company, 100 Pine St., Harrisburg, PA 17108 . YOU ARE ORDERED TO APPEAR IN PERSON TO TESTIFY AS A WITNESS in this action at the following date, time, and place: Date: March 16, 2011 Time: 10:00 a.m. Address: Geiger & Loria Reporting Service, 2408 Park Drive,Suite B,Harrisburg,PA 17110 a. = As a deponent who is not a natural person, you are ordered to designate one or more persons to testify on your behalf as to the matters described in item 4. (Code Civ. Proc., § 2025.230.) b. F 7x You are ordered to produce the documents and things described in item 3. c. 0 This deposition will be recorded stenographically through the instant visual display of testimony and by F7x audiotape = videotape. d. This videotape deposition is intended for possible use at trial under Code of Civil Procedure section 2025.620(d). 2. The personal attendance of the custodian or other qualified witness and the production of the original records are required by this subpoena. The procedure authorized by Evidence Code sections 1560(b), 1561, and 1562 will not be deemed sufficient compliance with this subpoena. 3. The documents and things to be produced and any testing or sampling being sought are described as follows: See Attachment 3 0 Continued on Attachment 3. 4. If the witness is a representative of a business or other entity, the matters upon which the witness is to be examined are described as follows: 0 Continued on Attachment 4. 5. IF YOU HAVE BEEN SERVED WITH THIS SUBPOENA AS A CUSTODIAN OF CONSUMER OR EMPLOYEE RECORDS UNDER CODE OF CIVIL PROCEDURE SECTION 1885.3 OR 1885.6 AND A MOTION TO QUASH OR AN OBJECTION HAS BEEN SERVED ON YOU, A COURT ORDER OR AGREEMENT OF THE PARTIES, WITNESSES, AND CONSUMER OR EMPLOYEE AFFECTED MUST BE OBTAINED BEFORE YOU ARE REQUIRED TO PRODUCE CONSUMER OR EMPLOYEE RECORDS. 6. At the deposition, you will be asked questions under oath. Questions and answers are recorded stenographically at the deposition, later they are transcribed for possible use at trial. You may read the written record and change any incorrect answers before you sign the deposition. You are entitled to receive witness fees and mileage actually traveled both ways. The money must be paid, at the option of the party giving notice of the deposition, either with service of this subpoena or at the time of the deposition. Unless the court orders or you agree otherwise, if you are being deposed as an individual, the deposition must take place within 75 miles of your residence or within 150 miles of your residence if the deposition will be taken within the county of the court where the action is pending. The location of the deposition for all deponents is governed by Code of Civil Procedure section 2025.250. DISOBEDIENCE OF THIS SUBPOENA MAYBE PUNISHED AS CONTEMPT BY THIS COURT. YOU WILL ALSO BE LIABLE FOR THE SUM OF $500 AND ALL DAMAGES RESULTING FROM YOUR FAILURE TO OBEY. Date issued: (SIGNATURE OF PERSON ISSUING SUBPOENA) Keith M. Ameele, Escf. SBN # 221927 (TYPE OR PRINT NAME) (Proof of eeryioe on reverse) (TITLE) Page 1 of 2 Form Adopted for Mandatory Use DEPOSITION SUBPOENA FOR PERSONAL APPEARANCE Code of Civil Procedure §§ 2020.510, SUBP'020[ ov.January11,2009) AND PRODUCTION OF DOCUMENTS AND THINGS 2025 ve rnmentCode,§ 80971 s SO M u n, SUBP-02( PLAINTIFF/PETITIONER: Herman Contreras and Lydia CASE NUMBER Contreras DEFENDANT/RESPONDENT: Advocate Mines LTD, et al., BC 428494 PROOF OF SERVICE OF DEPOSITION SUBPOENA FOR PERSONAL APPEARANCE AND PRODUCTION OF DOCUMENTS AND THINGS 1. 1 served this Deposition Subpoena for Persona! Appearance and Production of Documents and Things by personally delivering a copy to the person served as follows: a. Person served (name): b. Address where served: c. Date of delivery: d. Time of delivery: e. Witness fees and mileage both ways (check one): (1) were paid. Amount: .......... .. $ _ (2) 0 were not paid. (3) 0 were tendered to the witness's public entity employer as required by Government Code section 68097.2. The amount tendered was (specify):...... .. $ _ f. Fee for service: ..................... .. $ 2. 1 received this subpoena for service on (date): 3. Person serving: a. Not a registered California process server b. California sheriff or marshal c. 0 Registered California process server d. Employee or independent contractor of a registered California process server e. Exempt from registration under Business and Professions Code section 22350(b) f. 0 Registered professional photocopier g. Exempt from registration under Business and Professions Code section 22451 h. Name, address, telephone number, and, if applicable, county of registration and number: I declare under penalty of perjury under the laws of the State of California that the foregoing is true and correct. Date (SIGNATURE) (For California sheriff or marshal use only) certify that the foregoing is true and correct. Date: (SIGNATURE) SUBP-020 [Rev. January 1, 20091 PROOF OF SERVICE Page 2 of 2 DEPOSITION SUBPOENA FOR PERSONAL APPEARANCE AND PRODUCTION OF DOCUMENTS AND THINGS ATTACHMENT 3 DEFINITIONS 1. "YOU" or "YOUR" shall be defined as Rhone-Poulenc Basic Chemicals Co. (as Successor-in-Interest to Stauffer Chemical Company ("STAUFFER" )) and shall include information given to Stauffer by any municipal agency charged with workplace safety responsibilities. 2. "ASBESTOS" and "ASBESTOS-CONTAINING" shall refer to any matter, substance, or material containing asbestos fibers. 3. "ASBESTOS-CONTAINING PRODUCTS" shall be defined as any substances, matters, products or materials, including but not limited to pipe covering, cement, block, gaskets, packing, raw fibers, fireproofing, shingles, panels, sheets, boards, millboard, refractory cement, firebrick, prepared, assembled or fabricated in any way for sale or distribution that contained any kind of ASBESTOS in any possible form. 4. "HAZARDS OF ASBESTOS" shall be defined as and as related to any dangerous condition, injury, effect, damage, scarring, wound, impairment or disability of any part of the human anatomy, including but not limited to the lungs and lung lining, that is caused by or associated with exposure to ASBESTOS. 5. "DOCUMENT" and "DOCUMENTS" shall be defined as handwriting, typewriting, printing, photocopying, photographing, and every other means of recording upon any tangible thing, any form of communication or representation, including letters, words, pictures, sounds, or symbols, or combinations thereof. As defined in Evidence Code section 250, these words refer to all such materials, however produced or reproduced, in your actual or constructive possession, custody, care or control, and include, but are not limited to, originals, copies, non-identical copies, and preliminary, intermediate, and final drafts of all writings. 6. "EMPLOYEE(S)" shall be defined as any EMPLOYEE(S) of , as well as any person(s) acting under YOUR control, direction, or agent, including but not limited to independent contractors, outside agents, other governmental EMPLOYEES or persons at YOUR direction or under YOUR control, or any other persons who has access or control to these DOCUMENTS. INFORMATION AND DOCUMENTS SOUGHT 1. Information and DOCUMENTS pertaining to training programs for YOUR EMPLOYEES, including insulators, used by YOU for the time period of 1975 - 1983 regarding the HAZARDS OF ASBESTOS. 2. Information and DOCUMENTS, including but not limited to, written training materials used by YOU for the time period 1975 - 1983 regarding the HAZARDS OF ASBESTOS. 3. Information and DOCUMENTS pertaining to programs implemented by YOU for the time period of 1975 - 1983 to ensure compliance at worksites with the health and safety requirements of the Occupational Health and Safety Act. 4. Information and DOCUMENTS pertaining to programs implemented by YOU for the time period of 1975 - 1983 to ensure compliance at worksites with the health and safety requirements of the General Industrial Safety Orders of the State of California, with particular reference to those pertaining to the HAZARDS OF ASBESTOS. 5. Information and DOCUMENTS pertaining to participation by YOU in investigations of the HAZARDS OF ASBESTOS during the time period of 1975 -1983. 6. Information and DOCUMENTS distributed by YOU during the time period of 1975 to the present to YOUR EMPLOYEES, including insulators, or former EMPLOYEES, including former insulators, in any way relating to the HAZARDS OF ASBESTOS. 7. Information and DOCUMENTS pertaining to decedent, Herman Contreras, including but not limited to documents discussing any information he received regarding the HAZARDS OF ASBESTOS and or safe work procedure and procedures with or around ASBESTOS CONTAINING PRODUCTS. 8. Information and DOCUMENTS reflecting any warnings that YOU provided to anyone about the HAZARDS OF ASBESTOS. 9. Information and DOCUMENTS that identify YOUR EMPLOYEES or agents responsible for the health and safety of YOUR EMPLOYEES from 1975-1983. 10. Information and DOCUMENTS concerning ASBESTOS-related workers' compensation claims filed by YOUR EMPLOYEES. 11. Information and DOCUMENTS concerning YOUR membership in or affiliation with any of the following: National Safety Council, Industrial Hygiene Foundation, Asbestos Textile Institute, Asbestos Information Association of North America, and the Asbestos Information Association. 12. Information and DOCUMENTS pertaining to YOUR medical program(s) for EMPLOYEES exposed to ASBESTOS, between 1975 - 1983, including information pertaining to X-rays and pulmonary function tests. 13. Information and DOCUMENTS pertaining to safety procedures regarding the use of thermal insulation, insulation, thermal pipe insulation, gaskets, valve packing, pumps, floor tile, wall board, drywall aka sheetrock, drywall tape and mud, fireproofing materials, cement pipe, ASBESTOS-CONTAINING cement pipe, transite pipe, and any ASBESTOS-CONTAINING PRODUCTS and/or ASBESTOS-CONTAINING materials issued by YOU to YOUR EMPLOYEES, including insulators, between 1975 -1983. 14. Information and DOCUMENTS that identify EMPLOYEES responsible for the health and safety of YOUR EMPLOYEES including but not limited to insulators from 1975 - 1983. 15. Any and all documents evidencing STAUFFER's knowledge of the HAZARDS OF ASBESTOS and specifically when STAUFFER knew that ASBESTOS could cause asbestosis, lung cancer and mesothelioma, and how YOU learned of same. 16. Any and all DOCUMENTS evidencing consultations and advice sought and/or received by STAUFFER pertaining to health HAZARDS OF ASBESTOS, including but not limited to participation in or funding of any studies conducted of its membership. 17. Any and all DOCUMENTS evidencing STAUFFER's subscription to any medical or scientific journals that discussed the HAZARDS OF ASBESTOS including the Asbestos Workers Journal. 18. Any and all DOCUMENTS evidencing STAUFFER's publications, notices, journals, bulletins, and other written communication to its EMPLOYEES regarding ASBESTOS. 19. Any and all DOCUMENTS referring to Dr. Irving Selikoff's studies or articles pertaining/related to the HAZARDS OF ASBESTOS exposure. 20. Any and all DOCUMENTS evidencing OSHA or CAL OSHA citations or violations issued to STAUFFER. 2 s IN THE COURT OF COMMON PLEAS CUMBE AND COUNTY, PENNSYLVANIA HERMAN & LYDIA CONTRERAS, et al., Plaintiff V. ADVOCATE MINES LTD, Defendant :In The Superior Court of the State of California :For the County of Los Angeles :Case No. BC - 428494 [Hon. John A. Clarke] al., . :CP-21-CV- -2011 -a 7?' ORDER It being brought to the subpoena is needed by case for deposition, and Court of the State of of the subpoena to The successor-in-interest to PA 17110 for the production "A" to the subpoena this requests the Prothonotary of Subpoena. Karl ? ..Za-n attention of the Court that issuance of an out-of-state 'Ameron International Corporation et al, to prepare this received the Court's Commission from the Superior i? for the County of Los Angeles, authorizing the issuance of Records, Rhone-Poulenc Base Chemicals Co. as Chemical Company, 100 Pine Street, Harrisburg, documents and things as described in attached Exhibit hereby authorizes the issuance of the subpoena and Cumberland County, Pennsylvania to issue said ,s By the Co 0 G :w o N) _ 4 ; . n ( C? S IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA HERMAN & LYDIA :In The Superior Court of the State of California CONTRERAS, et al., :For the County of Los Angeles Plaintiff :Case No. BC - 428494 n u v. :[Hon. John A. Clarke] • 2C 3 *- =:v MINES LTD, et al., : PD Defendant N :CP-21-CV- 2011 - 2785 Civil N a ORDER c = AZ .. It being brought to the attention of the Court that a re-issuance of an out-of *Aat-6:- subpoena is needed by Defendant/Ameron International Corporation et al, to prepare this case for deposition, and having received the Court's Commission from the Superior Court of the State of California for the County of Los Angeles, authorizing the issuance of the subpoena to The Custodian of Records, Rhone-Poulenc Base Chemicals Co. as successor-in-interest to Stauffer Chemical Company, 100 Pine Street, Harrisburg, PA 17110 for the production of documents and things as described in attached Exhibit "A" to the subpoena this Court hereby authorizes the re-issuance of the subpoena and requests the Prothonotary of the Cumberland County, Pennsylvania to re-issue said Subpoena to April 26, 2011, at 10:00a.m. at Geiger & Loria Reporting Services, 2408 Park Drive, Suite B, Harrisburg, PA 17110. By the Court- Distribution: Karl E. Rominger 155 South Hanover Street Carlisle, PA 17013 n +'1 4Q ?a:iWJ -4,pAf it ?312- --7/ // z -urn ;Dfm CDP 46 z? on ..ern