Industry-Provided Depositions
Pacific Tobacco Corp., Vs. The American Tobacco Company, Inc.. Deposition of: D. W. Grout
Fields
- Type
- DEPOSITION
- Characteristic
- Marginalia
- Site
- Rjri
- Law
- Author
- Graham Erlacher & Assoc
- Switzer, J.E. Jr
- Grout, D.W.
- Switzer, J.E. Jr
- Box
- Rjr3340
- Date Loaded
- 27 Feb 1998
- Request
- Minnesota
- 1rfp8
- Named Person
- Tilbury, R.
- Davis Polk
- Mcewen, D.W.
- Cake Taureguy Hardy Buttler & Mcewe
- Oneil, D.J.
- Chadbourne Park Whiteside & Wolff
- Switzers, J.E. Jr
- Griess, T.P.
- Kecseti, F.
- Marion, S.E.
- Empire Wholesale
- Herbst
- Mariono
- Bernstein Brothers
- Hs Smith
- Empire Tobacco
- Judge
- Fbi
- Hs Smith Wholesale
- Prouty
- F Ann
- Messere, R.A.
- Mcgee
- Bernstein
- Campe, S.
- Briki Tobacco
- Nama
- Stefano Bros
- Larus Bros
- Us Tobacco
- Baleon Tobacco
- Basel Mendez Tobacco
- Cigar Manufacturing Assn, O.F. America
- Wade
- Smith, J.
- Retail Tobacco Dealers, O.F. America
- Pipe & Tobacco Counsel
- Tobacco Exporters Assn
- Tobacco Assoc
- Fries, P.
- Bersos
- Payless Drugstore
- American Machine & Foundry
- Pacific Tobacco
- Garden Home Pharmacy
- Switzer, J.E. Jr
- Tilbury & Kane
- Belair Pharmacy
- F Frank
- Leaf Tobacco Exporters Assn
- Grout, D.W.
- Roemer, H.C. Jr
- American
- B&W
- Liggett
- Lorillard
- Rjr
- Natd
- Taus
- Ti
- Tma
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- Brand
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Document Images
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IN THr., U?:ITF.D :'TATl?S DISTRICT COURT
FOR T}i.~ DI:~iFtICT OF OF.::.GON
CIVIL NO. 70-86
PACIFIC T0''1CCO CORP., an Oreron
Corporation, dba PACIFIC '1'UuACCO
COMiPANY,
D
iti
f
epos
on o
:
Plaintiff, (
vs. ~ D. ~-'. GROUT
1'f3:-' T03ACC0 COMI'I:IIY, INC.,
a Delaware Corporation, et al
Defendants.
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The deDositior_ of. D. ti'. Grout wss taken in Room 217.
of the Do%-mtowrier i41otor Inn, llinston-&S~alem, North Carolina,
cor~r~encin~.~- at 12:30 P.. 113. on the 2nd day of February, 1y7'! .
APP.e:.'iRANC3 ;S
For the Plaintiff:
ROGER TILBURY, Esq. of the law firm of Tilbury and
Kane, 1110 Standard. Plaza, PortXemd,
Oregon, 97204.
For the Defendants:
l-I.%}: CROI-iiv, JR. , Esq. , Reynolds Tobacco Company, 401
P:ain utree;t, ?:'inston-Sale.i, ?~;ortt:
Carolina, 27102.
TI'_OtuAS P. GitIi:SS, Eac., of the w aw firm of Davis, Pclk
& WardEil, 1 Chase Manhattan Plaza,.
P?ew York, N. Y.
DCNALD W. DicLt,'I:~N, Esq., of the law firm of Cake
Jaurcf;v.y, Hardy, Buttler & i+icEwen,
1408 Standard Plaza, Portland,Oregon,
97204.
D.ANII:L-J. 0'NLILL, Esq. of the law firm of Chadbourne,
Ps.rk, WL.iteaide & ~-.olff, 25 3roadway,.
New York, N. Y. 10004.
J. -7-dward Switzer, Jr.,_Official Court Reporter.
GRAHAM ERLACHER &.ASSOCIATES
, OFFICIAL COURT REPORTERS
ASHE DRIVE
WINSTON.SALEM. N. C.
PNOHE: 7630686

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~dI~ SS I N D E X
EXAMINATION BY
PAGE
D. W. Grout Mr. Tilbury 4, .43
Mr. Crohn 40
Mr. Griess 42
E X HIB I T S
... ... .~ _ ,
IDENTIFIED
Plaintiffes 4 24
Plaintiff's 5 28
GRAHAM ERLACHER & ASSOCIATES
CFFICIAU COUNT RIPrjRTERS
ASHE DRIVE
WINSTON.SALEM,N.C.
PHONE:765.0536

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.11
STIPULATION
By consent of Counsel for the Plaintiff.and the
Defendant, the deposition of D. W. GROUT was taken by
J. Edward Switzer, Jr., Notary Public, at the Downtowner
;lSotor Inn, : oom 217, .Jinston-Salem, North Carolina, commen
cinz at 10:00 o'clock A. M., on Tuesday, February 2, 19'j1.
A11 formalities with reference to notice of time and
place and purpose of taking the deposition were expressly
waived. Formalities with reference to sealing and filing
the deposition were waived, and it is stipulated that
the original transcript, upon being duly certified by the
undersigned Court Reporter, will be filed with the U. S.
District Court Clerk, District of Oregon.
It is further stipulated that all objections to
quections and motions to strike answers need not be made
at the time of the taking of the testicony, but may be
made at the tir:e the tEstinony or any part thereof is
offered in evidence.
GRAHAM ERLACHER & ASSOCIATES
OfrICIAL COVRT REPORTERS
ASHE DRIVE
WINSTON.SALEM,N.C.
PHONE: 7EiS.O6P.6

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4lHEREUPON,
D. w. GROUT
having been duly sworn, testified as tbllowss
EXAML~IATION BY MR. TILBURY
Q Would you state your name please?
A Donald Wesley Grout.
Q Where do you live, Mr. Grout?
A Winston-: alem,
Q How long have you lived here?
A Eleven years.
Q Prior to that time, where did you live?
A Denver, Colorado.
Q How long in Denver, and where else have-you lived?
A Up unti 1959, in Denver, the only two locations,
U r-ee -cy
except for B^Colorado for about nine months.
Q What is your educational background?
A No formal education other than the Advanced
Management Program at Harvard Business School.
Q You are employed by the Reynolds Company, are you?
A Reynolds Tobacco, yes.
Q In what capacity?
A Asalatant National Sales 1y. anager.
Q How long have you been an Assistant National Sale
Manager?
A Since 1967, April.
GRAHAM ERLACHER & ASSOCIATES
Olf1CIAL COURT REPORTERS
ASHE DRIVE '
WINSTON-SALEM.N.C.
PNCir+E: 7650636

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Q What other positions have you occupied with
Reynolds?
-
A Zone Sales Manager, in two different zones
west coast and southpast. I spent some time handling the
national military market for the eompany; about a year in
the advertising department with the company; assistant
Division i-.anager in Denver; a salesman.
Q In all, how many years with Reynolds?
A Eighteen this month.
Q In 1967, what position did you occupy with the
company?
A Western Zone Sales Manager up until April of
167; after that, I was promoted to.Assistant National
Manager.
Q Did you reside in Winston-Salem? In 1967?
Sale s
A Yes.
Q Had you, in connection with your work, been in Oregon from time to time?
A Yes.
Q Let'n say, during the last five years, how many
times have you been in Oregon?
A I would have to check the r ecords to be exact
on that. Five years - I just couldn't say.
Q Once a year, something like that?
A I couldn't aay that either.
GRAHAM ERLACHER & ASSOCIATES
Ofi'ICIAL COURT REPORTERS
ASHE DRIVE
WINSTONSALEM.N.C.
P.4ONE 765OG3G
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Q I understand from the last witness that you were
in Oregon in March of 1967?
A Yes.
Q Why did you happen to be there at that particular
time?
A A regular business trip, primarily to look at
personnel for promotion.
Q Okay; haw long had you been out of the home offic
on this particular trip? Before you reached Portland..
A I came in from Winston-Salem.
Q You flew direct to Portland from Winston-Salem?
A Yes.
Q All right; did your visit have to do with C ancer
cigarettes in any way; was that your reason for going?
A No.
Q In whole or in part?
A No.
Q VI'hat was your primary reason for this trip?
A To work with, primarily, Mr. Iieeseti and Mr. S. E
Marion,. to determine their potential for promotion.
Q How long were you away from your home office on
thi© trip?
A It was one week.
Q Did you go any place else besides Portland?
A I was in the Portland area; I didn't go out of
GRAHAM ERLACHER & ASSOCIATES
OiFICIAL COURT REPORTERS
ASHE DRIVE
WINSTON.SALEM.N C.
PHONE: 766.3636 -
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that division, letts say.
Q And then you returned to, directly, I take it,
from the Portland division back to your home base in Winsto -
Salem?
A Yes. _
Q Had you any prior knowledge of Cancer
cigarettes before you made this trip in March of 1967?
A Only from reading something about it in a weekly
national magazine. I don 't rel/ ember the name of the
rraga wine .
Q Could it have been Readers Digest?
A yez. P`"le.
Q Or was it a weekly magazine?
A I think it was Time or BusineDs `neek, or somethin
like that, in the business section; in fact, I didn't
really relate it to what area it was being marketed in.
Q Had you discussed or had anyone discussed Cancer
cigarettes with you before you made this trip in March of
1967?
A No.
Q Uren you reached the Portland area, when did the
subject of Cancer cigarettes first arise on this trip that
you descr:.bed?
A I would say to the best of my memory, it was the
day I worked with Frank Kecseti; I think that was on a
GRAHAM ERLACHER & ASSOCIATESOfflCl,kl COVkT REPORTCRs
ASHE ORIVE
WINSTONSALE.M. N.C.
PH-iNE 765-OG36 ,

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Friday$ the 17th.
Q Now who brought the subject up?
A I believe Frank did, in our discussion of what's
aoing on in Portland, and the general trade conditions, and
so forth.
Q What did he say? About that?
A ivgll, he mentioned the fact that the brand i$ in
the area, and after questioning about the brand, naturally,
he mentioned the owners
of the Bel-Air Pharmacy were the people behind the brand,
that were marketing the brand.
Q How did he put it; how did he describe Cancer
cigarettes to you; did he say that it was any kind of
threat to the cigarette industry, or hor: did he put it?
A I don't remember.
Q Was this the first call that you made that day?
A No, it was not t.ie first call.
Q Can you recall wY,ere else you went?
A No.
Q In a general way can you r ecall, any types of
accounts, -werc:_ tr,ey just distributors, or retailers?
A To the best of my memory, I can't recall; they
were general trade calls, if I rememberright, reviewing the
wales::,en's reports; we had the report in hand and we were
going into calls that he h ad made prior, previously, to :.eej
GRAHAM ERLACHCR & ASSOCIATES
O«iCI4L COURT RF.PORTEHS
AsMr nRIVE
WINSTON S.1LEM. N C.
P.+Or.I 7G5-.)ai36

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how effective he was, and how productive he was in his
work; and I don't remember the type of callsj just the
general trad3, you might say./
Q k'aa the Bel-Air Pharmacy one that i4r. Kee3eti
would ca.ll on, or did call on periodically in connection
with his wor;~c as aale::man?
A No, he was not a salesrnan; he -was an Assistant
Division Rana ;cr at the time.
Q 0'.cay; was this tize sort of call that he would
nave made nor:lally, or ,vas this an unusual thin3?
a,
A Tie ,all :.as in the aalesman 's assignAnent, and
t~r. Kecseti, in revie.~in; the aalesman 's work or working
wlth the salea:nan, would have called on the Bel-Air
F',aar:Zacy, yeS.
Q ,:aN your reason to go to the Bel-Air Pharmacy
related in any way to the subject of Cancer cigarettes?
In w"noLe or in part?
A ;;y reason was, yes.
Q has that your sole reason for going there?
A Y
Q ~'.:s this an unusual thinG for you to go to a
retail store ;:ith so~iabody like :1r. Yecseti?
A :.o, not wnusual at all.
Q 1i1l riC.l:t; :rhat time of day did you reach the
:tcre:
GRAHAM ERL&CHER & ASSOCIATES
OliIIIAL COURT REPORTERS
ASHE DRIVE
WiNSTON-SALEM. N C.
P.OtiE765063G
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A I don't remember. I don't know whether it :ras
before or after lunch.
q Can you describe what happened when you got there'
A V;ell, I remember tellin , Frank that we would not
take a salesman's bal; in, you know, that way we would not
make a regular type call out of it; it ,aas a fact-finding
call for me; I wanted to ask the clerk, or whoever was
there in charge, the manager, and so forth, questions about
Cancer Cigarettes; so we walked in without the usual pro-
cedure in making a call. iie forfeited that in the fact-
findi.-- mission that I was on, so to speak. At the time,
we wayked in and introduced ourselves as being with the
fieynolds Tobacco Company, and looked at the Cancer C ibarett
on display, on our pacitage fixturej'; and talked to this one
gentl :;..5an, I don 't remember his nane; can 't remember what
he looked like.
q Can you describe him at all?
A
He was big - fairly good size in ~
t~t re
~.A G~ .
q Was he dre_ :sed in any particular ;;ay?
A No; I don ft remember whether he had on a pharr,a-
eeutical smocl', or not. Arid I aslceu hin questions about the
Cancer ci.garattt brand.
4~ How did you put it?
A I asl",od hii-,i how j,t ,;a; s211ing.
q ',;ha t did he say?
GRAHAM ERLACHER & ASSOCIATES
OFFL.IAL COURT REPORTERS
ASHE DRIVE
WINSTON-SALE:M. N. C.
P..onr 7F:S-Ob3G
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A He mentioned about a mail order activity that he
had been receiving requests mostly, and he was mailing the
b rand into other states; and hementioned the fact that
it was kind of a fad, he made light of it, in fact. He
mentioned something to the effect that "someday I might
be a big cigarette manufacturer", or something like that;
it was a very congenial conversation.
Q l;hat else was said by you or Mr. Kecseti or this
gentleman?
A He asked me who I was and what my title was, and
I, at that ti.me, uave him my business card, and took anothd,
look at the display over there, the cartons on display, an
we left.
. Q Did he
ksk you at any time if you v:ere from
;iinston-Salem? . Eefore you introduced yourself?
A I don't remember that.
Q How were they displayed?
A I believer there were two or three cartons dis-
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played on our package fixture. ThIzre was the type of pack-
a;e fixture that holds packages in the carton - you tear
the top off the carton and lay it up at an angle on the
shelves.
Q You recall only the single ii3dividual,who was.
evidently working at the store, talking with you or did
~~o,a talk then with anyone else?
Y -
GRAHAM ERLACHER & ASSOCIATES
OFFICIAL COURT REPORTERS
. ASHE DRIVE
WINSTON-SALEM, N. C.
PHOr:E: 765-0636
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A He is the only one I can remember.
Q Did you buy any of the cigarettes or did he give
you any of them?
A I vaguely remember buying a couple or three packs
to bring back to Winston-Salem - this is normal for a new
item on the market.
Q How much did you pay for them?
A I believe it was around fifty cents.
Q You did bring them back to Winston-Salem?
A Yes.
Q What happened to them after they reached Winston-
Salem?
A I sent them to our marketing ansi research depart-
ment.
Q Who in particular there?
A Just to the marketing a-ad research department j I
don't know what the channel was they took after that.
Q Do you know what they did with them?
A I don 't know what they did with them, no.
Q Do you. have
.ar.alyzinS ciGarcttes?
A Yes.
a laboratory here, I aasume, for
Q aas it, in any way, referred to the laboratory?
A I assume it was - well, I didn 't get a report
on it myself; I assumed that they were referred to the
GRAHAM ERLACHER & ASSOCIATES
OFi1CIAL COURT REPORTERS
ASHE DRIVE
WINSTON-SALEM. N. C. PHONE:765-0636

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research laboratory for analyzing.
Q Is this sort of a customary procedure for any
new cigarettes?
A It is standard, yes, sir.
Q Have you told us everything you recall, Mr. Grou~
about that conversation?
A Yes, sir.
Q Where else did you go after you left the 8e1.-Air
Pharmacy?
A Well, we went over tocall on the Empire Flhoiesale
rlra jr, e
Company or Tobacco Company; I forget the exact tAtle. I
Q Had you known any of the people there?
A I beg your pardon?
Q Had you known any of the people there before you
called on them? At Znpire.
A No.
Q What was your reason for going there?
A 1,:ell, the reason you just mentioned - I-didn 't
know the account - it's a direct account of ours, and I
make it a practice to get to know our direct customers and
to check our stock and to see how hic buuiness was on our
brznd s, and to see, to follow up and to see how C ancer
C igar4ttes were selling.
Q So part of the reason to talk to Empire related
to C. ancer C igarettes?
GRAHAM ERLACHER & ASSOCIATES
OF/#ClAl COURT REPORTERS
ASHE DRIVE
WINSTON-SALEM. N. C.
PHONE 7GS-O636
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A Part of the reason, ye$.
Q Did.somebody tell you, or did the gentleman that
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you had the conversation with at Bel-Air mention that
FLmpire was distributing cancer cigarettes?
A 0
Mr. Kecseti mentioned that he thought that they
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were distributing cancer cigarettes.
0 The man that you talked to at Bel-Air did not
mention Empire as a possible account?
A No.
Q Okay; you went directly, I take it, from Bel-
Air to Empire?
A Yes.
Q And who did you talk to at Empire?
A I really forget the man's name; it was Mr.
Herbst, or soraething like that.
Q Can you describe him?
A He was bi g, and a very congenial fellow.
Q ;oIhat age about?
A I would say in his fiftiea.
Q All right; would you tell us about that conver-
sation please?
A rto 11, I don 't renembar whether we met the man
conin ; into the wholesale houoe or not or encountered him
di.ectly; I:motiv Frank talked to someone to get permission
for us to check our merchandise and our stock in his house.
GRAHAM ERLACHER & ASSOCIATES
, OFFICIAL COURT RlPORTCRS
ASHE DRIVE
WINSTONSALEM. N. C.
PHONe, 7660636

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Trfiich we did.
Q You mean by "Frank" - Mr. Kecseti?
A Mr. Kecseti. And in checking our stock, we notic
about, less than a half a case of cancer cigarettes in a
stock bin, and before leaving, we walked up and encountered
the owner or the manager there, Mr. Herbst, I guess he is,
in conversation, formal procedure, how his business is,
talked to him about the stock level, about our products,
and so on.
d
Q Now, where was the cancer cigarettes, near the
front or back some distance?
A I don ft remember.
Q Wel.l, 1ah.at was your conversation relating to
cancer cirarettes; what did he say and what did you say?
And what did .-1r. XECzeti say?
A I asked him how it was selling, what kind of
repeat orders he was receiving on them, and why he was
handling them, that brand, and tried to get as much infor-
mation about the brand as I could.
Q lahat did he say?
A I can 't remember word for word, but in general,
the theme of our conversation was that they were not sellin
well, no repeat orders; it was a fad, and that he Just got
them Juct to acco.=.odate a few customers.
0, Did he say how long he would keep them in stock?
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OiFtC1AL COURT RErORTF.KS ASHE DRIVE
VJINSTONSALEM. N. C.
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A No, he didn't:
Q Did anyone indicate that it was not in the best
interest of the tobacco industry to have cigarettes with
this name Cancer attached?
A I did.
Q And to whorn did you say this?
A To him.
Q How did you say it?
A In a very diplomatic way; we talked about industr,
Lir14 1,. <t,icko 17-
business conditions,-zxxL=unspa`,n movements, cigarettes ~
and health :novementa, and probleras, and I related to him
how I could not understand how he would - I don't remember
exactly - I was trying to get across to him the point that
he had so much at stake here in having all this business
in pre-sold items, advLrtised items, pre-advertised items,
and certainly the CancerCigarettas were not complimentary
to the standard cigarette items that he was selling, which
was the backbone of his business.
Q All right; do you recall what else he said?
A 1:0 .
,
Q Did tir. Kec aeti make any remarks?
A Not that I remember.
Q :;r. Herbst, in response to that?
A Wo didntt argue; he didn't arSue with me at all;
he said that what I said, he agreed with Me, and that was
about the extent of the conversation.
GRAHAM ERLACHER & ASSOCIATES
OF'FICIAL COU4i REPOFtTERS
ASHE DRIVE
WINSTON-SALEM. N. C.
PHONE!7650636
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Q Was there anyone else present during this con-
versation?
, ......,,,y.,,.. .
A No.
Q From Empire, where did you go?
\
A I don't remember.
/Q You were in the Portland area how long in all?
A tdoncby through Friday.
Q Can you recall, in general terms if not specific
teri7s, the types of calls that you would have.made during
the balance of the week?
A The balance of the week - that was on Friday, and
I left on Friday.
Q Oh, you left on Friday; okayj well, was this to-
ward the end of your time in Portland?
A I don't recall whether we made calls after;
if we took off after calling on Znpira or notj I just don't
r eraeraber.
Q Had you made calls on other retailers before
6oin, to Bel-Air, either on that day or on the preceding
days?
A Oh, yes, yes.
Q This, I ta;;e it, then was not the first day that
you were in Portland on this occasion; by that, I mean
I:arch 17, 1g67, the day you went to Bel-Air, you had been
in Portland on more than one day?
GRAHAM ERLACHER & ASSOCIATES
Ofi1CIAL COVRT REPORTERS ASHE DRIVE
WINSTON-SALEM. N. C.
PNONE: 7650636
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A I:vas in Portland all that week.
Q All that week; okay.
A Monday through Friday.
MR. GRIESS i And this was Friday.
Q (By Mr. Tilbury) All right; in a general way,
what r:ind of things did you do from t4onday to Thursday?
A I worked with salesmen, calling on retail outlet~;
}}'~rtriC.7 r;on
I worked with Kecseti; worked with Stu r:ar-Iano, S. E. Mar
filoJP7'S
calling on retail outlets; looking over MM1"no-4s office
operations, and so forth.
Q All rigilt, tiYas anything said at any of these
calls, in any of these conversations was anything said
relating to Cancer Cigarettes? With anybody?
A With anybody; not that I remember.
Q When you got bacit: to -- let me firSt ask about
another distributor, did you call on Bernstein Brothers in
March of 19u7?
A I don't remember whether I did or not.
Q How about ca].ls in the city of Vancouver; did
you go across the state line into Washington?
A I don't remember.
Q You don 't recall whether you had met anyone from
the H.S. S:nith Company?
A I don't remember.
Was this the only occasion that you have called
GRAHAM ERLACHCR & ASSOCIATES
O«jL1AL COURT REPORTERf
' ASHC DRIVE
WINSTON-15ALEM. N. C.
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on E.mpire Tobacco Company, as far as you know?
A This is the first and last time I've ever called
on them. Q Whan you got back to Winston-Salem, did you repor
anything with relation to Cancer Cigarettes to anybody in
the organization?
A Ye3.
Q To whom?
A To Mr. Judge.
Q SJhat did you say?
A I don't remember; this was in the form of a
standard trip report that everyone travelling out of
Winston-Salem, sales executive staff, writes up, about the
week's business and trade conditions, the personnel,
recommendations, and so forth. It was in the body of this
report - I don't even remember how many paragraphs, or how
few.
Q Besides the memorandum, or whatever this thing
was, did you have oral conversations with Mr. Judge, or
with anybody else? A I don't remember that.
Q Have you had conversations at any other time,
leaving out your attorneys, on the subject of Cancer
Cigarettes, with anyone within the the Reynolds organizatio ?
A No.
GRAHAM ERLACHER & ASSOCIATES
Oirl(.IAL COURT RlPORTERS
ASHE DRIVE
W I NSTON -SALEM. N. C.
PH-NE. 765 0636

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Q Or outnide the Reynolds OrganizationZ We are
leaving out attorneys for the time being.
A No.
Me{rl' or7
Q Have you tal.ced to Mr. Marian about the 3ubject
111r~rro?
of Cancer Cigarettes, S. E. V:rl-an?
A Yes.
Q Aside from what you've described. Have you said
anything else, or has he said anything to you?
i?~C~ r i ~~rl
A Well, I talked to ::ariasi about the Cancer Cig-
arettes before leaving Portland; I talked to him about our
call at x:apire, he ti:aa the division r:.anager, and we
L' ~,1s" 14
diviAions
e~naclltid- with the responsible party for thats
before leaving, and it was a routine discussion about my
week's work there, and so forth.
r1t41 ;-, v
Q Did .dr. .'-i.='~zn report to you in that conversation
that he might have had, or any activities that any dis-
tributor or ,jobber might have undertaken with relation to
Cancer ci-arettes?
A Not that week, no.
Q Did he at a subsequent time?
A YLs, he called me on the tclephone, that was in
;:ay, I believe; I believe my Meaorandum on the subject is
dated a:ay 30, and he reported to me that the FEI, an FBI
Acent had called on this 3obber and had asked him questions
about whether anyone from Reynolds had told him not to sell
GRAHAM ERLACHER & ASSOCIATES
OFFICIAL COURT Ri PORTERS
ASHE DRIVE
WINSTON-SALEM. N. C.
PHONE.765.0636

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Cancer Cigarettes; and,you know, he was reporting this
incident, or this information, to ne.
Q Was the jobber the H. S. Smith 14holesale Company?
A That's right.
Q Did he say anything else about it?
A It's in my memorandum; he mentioned the jobber
indicated, or whoever he was talking to at H. S. Smith,
indicated that the agent wasn't too concerned, didn't ahow
too much interest, and that was about it.
Q Did you give any instructions to any of the gales
men in the Portl.an d area with relation to what could be don
or should be done on the Cancer Cigarettes questions?
A Not to the sale3men, no.
Q To anybody?
A Yes.
Q To whom?
0 14 riOr1
Q lrlnat d id you say?
A I told him to keep his salesmen out of the Bel-
Air Pharmacy Store, and not to discuss Cancer Cigarettes
with any consu^:ars or retailers.
Q V'hy did you do that?
A 2lumber one,-to which point?
Q t1e11, .rhy did you give these instructions which
you d^scribe?
GRAHAM ERLACHER & ASSOCIATES
OFFILIAL COURT REPORTERS ASHE DRIVE
WINSTON S.1LFM. N. C.
765 0636

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Sq ~FS~Ii:~~~
A Well, I did not want our salesmen calling on the
Bel-Air Pharmacy because I did not want him to become
engaged in a conversation with the owner of this pharmacy
about Cancer Cigarettes; I didn't see how it could do us
any goods or the proprietor.
Q
So
structions?
far as you know, did they follow your in-
A As far as I know, yes, sir.
Q Is there a Mr. Prouty, or was a Mr. Prouty,
P-r-o-u-t-y-, working for your organization?
A I don't remember; I'd have to check on that.
(A noon recess was taken at this time)
Q (By TIr. Tilbury) Mr. Grout, I think you might
like to see thiaj I believe that you prepared a atemoran-
dum on May 30, 1967, to I4r. Judge, dealing with some of
the thinga that you have already discussed with us this
r^orning; do you recall that memorandum?
A Yes.
Q And I believe you indicated for us earlier, that
the time of your visit to Portland was on March 17, 1967?
A That's the day I left, yes.
Q All right; I believe you said your visit to
Bel-Air Pharmacy was toward the end of that Eveek; on Frida ?
A It wa s on Friday, ye II.
Q And you came back ha,-e on Saturday?
GRAHAM ERLACHER & ASSOCIATES
OFFICIAL COURT REPORTERS
ASHE DRIVE
WINSTONSALEM,N.C.
PNONEt 765.0636

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Q
- Friday night.
Okay; now the memorandum is dated, as you
notice, May 30, 1907.
A Right
Q First, there are some initials and some comments
or whatever they are, at the top of that memorandum; can
you tell me what those were?
A Yes, the initials - you are talking about the
handwritten initials?
Q Right
A That stands for rir. H. C. Roeraer.
Q Who is he please?
A He is our Chief Legal Counml at the present time.
Q Did you have occasion to talk to him about it?
A No.
Q How did it happen to be refvrred to Mr. Roemer?
A Mr. Judge marked it to Mr. Roemer as a matter of
information, I assume.
Q A couple of other things underneath that,
those initials, I'm not sure what they are; tell me what j
. i
they are, please, sir.
A "Ann "- Ann was IYUr. Judge 's secretary,. and "CC" for
file.
Q All right; did you send copies of the memorandum
to anyone else except for 2,2r. Judge?
GRAHAM ERLACHER & ASSOCIATES
OiI1C1AL COUkT REPDRTEB!
, ASHE DRIVE
WINSTONSALEM. N. C.
PMONE:7650636

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A He was the only one I sent it to.
Q Could you tell me why the memorandum was prepare
on i-Zay 30, 1967, whereas your visit was in March, or
was there an earlier memorandum?
A There was a telephone conversation with S. E.
Marion. . .
Q All right
A And I was a little late in preparing the mernoran
dum after the 26th, I don't recall why; it waa, probably
because I was up to my neck in work, or something like
that, you Rnow.
Q All right; now, you prepared no memorandum
following your visit in March,17th, I believe it is, 1967?
A Only in the routine manner of reporting on my
trip, as I mentioned before, in my trip report.
Q You did; that'a right*
All ribhtj now, you notice that on the next page, the
page 2 of this exhibit -- by the way, can you identify
this for us for the record?
A Yes.
Q Is that your memorandum?
A Yes. -
(The document above-referred I
to was marked for identificat
Q
There is a notation there that starts with the
GRAHAM ERLACHER & ASSOCIATES
O«/C/AL COURT REPOR7ER.
ASHE DRIVE
WINSTONSALEM. N. C.
PMONC: 76S -0636
ion

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word "Although", and it continues through the sentence -
"Although I took special effort in not telling this jobber
that he should not sell the cigarette, I did point out to
him in a diplomatic manner the negative aspects of his
distributing thia brand to his customers." Can you tell m
what you referred to by "negative aspects of his distri-
butir:- this brand "?
~
A Well, for his own personal - looking at it from
his business d;andpoint, the many customers that all of the
tobacco companies have,anour brands,ourr pre-sold brands, is
his business, that any customers that he would cause to
stop smoking because of the distribution of the Cancer
Cigarette would ultimately affect his volume, because the
consumars would not be buying the standard cigarette brands
-lb e
from the retail outlets, and he supplies to outlets.
Q Is that what you said?
A This was the thing that I was talking to him
about.
Q Do you recall the exact words that you used?
A r1o.
Q Did you indicate to him at any time that - this
would be ~ir. Mcrbst, would it, of Ilnpire Tobacco Company?
A YeZ, sir.
Q Did you indicate to him that if he continued to
handle the sale of Cancer Cigarettes, that his supply
GRAHAM ERLACHER & ASSOCIATES
O/Fv,:iAt COURt REPORTERS
ASHE DRIVE
WINSTONSALEM. N.C.
P.ior+E: 7650636

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of products from Reynolds would not continue?
A Absolutely not.
Q Or that any of his allowances would be curtailed
or modified in any way?
A We have no allowances.
Q
Well, I believe you mentioned an introductory
allowance for a new product?
A Well, on a new product - I didn't mention that.
Don't know , but we do have an introductory, it's standard
industry knoviledge, that we do havo an introductory
allowance on our new brand, yes, per caae.
Q Did you indicate to Mr. Herbst that anything
of this nature would be withdrawn from him?
A None at all.
Q
With the exception of the introductory allowance,
was there any other type of allowance or payment or con-
sidoration that would be given to Mr. Herbst or a distri-
butor in the same category as Mr. Herbat?
A Could I say that I believe you are going off in
.the wrong tangent here.
Q Anythin;; you like, !
i
A That involves a wide, a very wide areas.well, I
3uwt don't know how to answer the question to tell you thel
I
truth; I did not mention to Mr. Herbst that we would quit
selling him cigarettes on a direct basis; I did not nentiory,
GRAHAM ERLACHER & ASSOCIATES
Of'FIC/AL COURT REPORT[RS
ASHE DRIVE
WINSTON-SALEM. N. C.
PMONL. 7650636

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anything about any of our allowances, that we would take
this away from him if we had an allowanee at the time.
None of that, no.
Q What kind of allowances are there, if any?
This introductory allowance when a now product hits the
6I market?
PM. CROa1t: You are spQakin #e a jobber like hSr.
Herbst?
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MR. TILx3URY: Yes, sir j tY:ank you..
THE WIT.~SS: Any allowance that is ever given to
any direct account has been given to all direct accoun!ts.
The only one I can think of would be on a new brand
introduction, and this is for what we call a distribu-
tion allowance for his work in distributing a new
item for us.
Q (Bby Mr. Tilbury) Do you give them an advertising
allowance, for example?
A ?do, he can call it what he wants, but it 's a
distribution allowance.
Q That's only on new products?
A Yes, sir.
Q I have here - about R. A. Messere -;4-e-s-s-e-r-e
I believe it is.
. A ?dassere.
Messere; that's where I got the name, that little
GRAHAM ERLACHER a ASSOCIATES
. O«IC/AL COURT REPORTERS
ASHE ORIVE
WINSTON-SAIEM:N.C
PHOHE:7650636

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memorandum.
MR..CRO.1iN: Do you have that dated?
THE WITZdrSSt --- ,1969, Riverside, California
division.
Q (By ~Ir. Tilbury) Did you see a copy of that
meraorandum which has now been marited Plaintiff 's Exhibit
No. 5?
(The document above-referred
to was marked Plaintiff 's
Exhibit 110- 5 for identi-
rication. )
Q
A
No, I have not seen this before.
Are you acquainted with this gentleman personall~
Yes, sir.
'.Did you confer with him on occasion?
A He is no longer with the company; he resigned
laat month, I believe it was.
Q t4ro your ealesmen generally alerted to pick up
anythin ; that they nay have encountered with relation to
Cancer Cigarettes, is that why he made the report?
A Could I give you some background information on
this form of reporting?
Q Yos, sir.
A This is, as I say, an extract from rZr. Messere ts
daily report; this is what we call a right-hand corner
comment, which is standard for reporting every day; every
GRAHAM ERLACHER & ASSOCIATES
OiI1ClAl CnURT REPORTERS
ASHE DRIVE
WINSTON-SALEM. N. C.
PHONE: 765 0636
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one of our field sales personnel fills out this right hand
corner, and they report to us anything regarding corapetiti~
activity, or merchandising suggestions, or ideas; and this
is an extract from that daily report; and it is common,
anything unusual or different about competitive activity.
MR. CROHJs I don 't think that Mr. Grout answered
your question, the precise question that you put to
him. If you'd like to ask it again, I would like to
have him answer the precise question that-you put to
him. :
Q (By Mr. Tilbury) Did you instruct any salesmen,
or do you know anyone who did instruct any of the salesmen
to report anything that they encountered with regard ta
Cancer Cigarettes?
A As a matter of formality, in the Portland area
especially, because this is where they were first marketed
jlt~l r-"o,I
I asked F.^rian to keep us infor;r+ed on this item, yes, he
was the division manager.
Q While you were in Portland during the week,
which ircluded the 17th of March, did you have meetings
during that time with Mr. .2-larion?
A Yes.
Q And during that time, did the subject of Cancer
Cigarettos arise?
A Not that I recall.
GRAHAM ERLACHER & ASSOCIATES
Oir/(;IAl COURT RErORTERS
ASHE ORtVE
WINSTONSALEM. N. C. PHONE: 765.0636

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Q Did you have other meetings during that week?
A On the 17th I talked to him about this.
Q I believe you indicated that; did you have
meetings with other sales personnel during the week in
which the subject of Cancer Cigarettes came up in an y way?
A No.
Q Are you acquainted with Mr. McGee at the Brown
& jdillianson Tobacco Company?
A No.
Q Do you know of any company which manufactures
private brand cigarettes in the United States?
A No, I would have to research it; I don't know
specifically of a company.
Q Would the Bernstein Company be your largest dis-
tributor in the Portland area?
A That's what I was told by Mr. Marion, the divisio
manager of that area.
Q I believe you indicated that you had no contact
with them in any way - with anybody with the Bernstein
Company?
A Not that I recall - I don't remember calling him,
no, sir.
Q
~ /Ve1II
Are you acqudnted with Mr. Campf?
A No
Q What was the reaction of your company, Reynolds,
GRAHAM ERLACHCR & ASSOCIATES
OfiIC1At. COURT REPORTERS
ASHE DRIVE
WINSTONSALEM, N. C.
PNONE:7650636
xo

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the introduction of Cancer Cigarettes; was there a reaatio~
I
and if so, what?
,
. A There was no reaction that I was informed of.
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No reaction.
Q You personally felt though that it was bad for
the industry, true?
A. Personally, yee.
Q Do you know of any sales that your company lost
to Cancer Cigarettes?
A No.
Q Are you acquainted with the Briki Tobacco Compan ?
A No.
Q Do you personally attend conventions at which ot4er
representatives of tobacco companies are present?
A Yes.
Q And what conventions do you attend?
NAT D NAMA
A Well, all the national, -HAT-D. NANA; some state
conventions; it varies, depending on how I- my time
availability.
Q Have you had any dealings with the Stefano
Brothers, Z.rua 13rothers, United States Tobacco Company,
the Baleon Tobacco Co;npE.ny, Tijuana, I believe, or the
Basel Mendez Tobacco Company of Hialeah, Florida?
A No.
Q Are your cigarettes sold to vending machine
GRAHAM ERLACHER & ASSOCIATES
OFFICIAL CO4RT REPORTERS
ASHE DRIVE
WINSTON-SALEM, N. C.
PNONE:765-0636

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operators in the pacific northwest at the same prices,
identical prices that are charged by other major tobacco
companies?
A Are you talking about a- under a direct account?
Q. A company that has vending machines.
A If it is not a direct account, I don't know what
price a vendor will buy his cigarettes for. We have no
control over that; if he is a direct account, he is buying
Se/li"i
the cigarettes for the same price as we are sendift it to
other direct accounts.
Q Vlell, my question evidently wasn 't clear; it
relates to w hether or not Reynolds sells ita products
to proprietors of vending machines at the same price that
is charaed by other tobacco companies, like Brotivn &
Willia.nson and Leggett & Wers, American Tobacco, and so on
A Well, sir, the proprietor of a vending machine
could be this man in the motel lobby; he owns the vending
machine possibly, and we - well, you know, where he buys
his cigarettes, he's not buying direct from Reynolds
Tobacco Company, that is my point, I don't know what price
a vending operator would buy his cigarettes for; he would
buy theA from a jobber, a direct account of ours; if he's
a direct vending account, he's buying them for the same
;rice that we charge a direct 3obber.
Q Well, all right,well let's take a direct vending
p roprietor, where you do make direct sales.
GRAHAM ERLACHER & ASSOCIATES
Orf1C1AL COURT REPORTERi
ASHE DRIVE
W/NSTONSALEM. N. C.
PMONE: 765-0636
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A Okay.
Q Does he buy from the R. J. Reynolds Company for
the same price that the same individual would buy from
other major tobacco companies?
A I don't know; I don't know; we have no knowledge
of what our competitors sell this man for anything that
they have going.
Q Has your company taken any steps which are in
opposition to anything that has been done by the Tobacco
Institute, so far as youknow?
MB.- 0'PdEILL: I object to the form of the
question.
MR. GRIESS:' I join in the objection.
.THE 'dITaESS: I don't understand the question.
6~ (By Mr. Tilbury) All right; if it's not clear --
do you know any instance where your company has opposed
the policy of the Tobacco Institute?
A I have no
;iR. 0'NEILL: I object to the form of the questio
Q (By i-ir. Tilbury) Are.you a member of any formal
associations - The Cigar r'.anufacturing Association of
America, The T;ational Association of Tobacco Distributors,
The Loaf Tobacco Exporters Association, The Retail Tobacco
Dealers of America, The Pipe and Tobacco Counsel, the
Tobacco Merchants Association of the United States, The
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GRAHAM ERLACHER & ASSOCIATES
OIFICIAI. COURT REPORTERS
ASHE DRIVE
WINSTONSAIEM, N. C. ,
PHOaE.7650636

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Tobacco Tax Counsel, The Tobacco Association of the United
States, or Tobacco Associates?
A We are a member of some of those organizations,
yes
Q Which ones,please?
A If you want to start reading them off again,
I'll say yea or nay.
MR. CROHN: I believe the question was put to
I~ir. Wade.
MR. TILBURY: I didn't get them all.
MR. CROHN: I think the question waa what organi-
zations are you a member of; Mr. Wade is an officer
of the company and has more intimate knowledge of
this question than PZr. Qrout; it may be that Nir.
Grout has attended organizations which the company is
not a member of. He may not have this knowledge, but
certainly let'him answer it to the best of his abilitf
I think it would be a lot clearer if you would just
take it one at a time.
Q (By Mr. Tilbury) All right, if you don't mind
my asking you, of your knowledge --
A Just take them, and I'll say whether or not
we are members
r r
Q That will suffice. Which ones?
A I don't remember the list; itts a long list.
GRAHAM ERLACHER & ASSOCIATES
O/I/CNl COURT RErORTERf
ASHE DRIVE
WINS'ON-SALEM. N C.
P-OP.E: 765-0636

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Q Cigar r?anutacturera Association of America?
A No.
Q National Association of Tobacco Distributors?
A Yes.
MR. CROM I hate to interrupt, but I'm not
clear what these answers are directed to. Is it
membership or attending a function of these organi-
zations?
MR. McE'r r1: I think it is clear he will answer
as to those he attended.
I4R. GRIESS: Mr. Crohn is right; why don't you
specif'y, if you answer yes, whether it is that Rey-
nolds was a member or-that Reynolds just attends;
do you understand?
TIM WITNESS: Yes, to the best-of my knowledge.
I'll say that we do attend the NATD.
Q(By Mr. Tilbury) Do you personally attend it?.
A Yes.
Q How often would you attend?
A I have attended every one in the past seven year
Q Are there other representatives from other major
tobacco companies there?
A Yes.
Q Tobacco Exporters Association?
A I don't know about that one.
GRAHAM ERLACHER & ASSOCIATES
O«ICIAI COURT REPOR7ERS
ASHE DRIVE
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Q Retail Tobacco Dealers of America?
A. We do attend that, yes.
Q Are you members?
A - I'm not sure. -
Q Are there representatives from other major
tobacco cor.:paniea there?
A Yes.
Q The Pipe and Tobacco Counsel?
A Yes, we do contribute to that Counsel.
Q Do you attend their meetings?
A No, I don't attend their meetings.
Q Pipe and Tobacco Counsel?
A That's the one I just referred to.
Q Pardon me; Tobacco Merchants Association of
the United States?
A To my knowledge, we don't at-tend.
Q Tobacco Tax Counsel.
A I don't personally attendthis organization's
meetings; I don't know whether we are a member or not.
Q Tobacco Association of the United States?
A I don't kr.ow.
Q Tobacco Associates?
A I don't know.
Q Do you know of anyone in your organization who
has knowledge concerning the subject of Cancer Cigarettes
GRAHAM ERLACHER & ASSOCIATES
OifICIAL COURf RCPORT[RS
ASHE DRIVE
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that you have not already identified for us?
A No.
Q Are you acquainted with Pau1 Fries of Impact
Distributors?
A No
Q Is your company - you have identified their
.position in the domestic market - is your company also
the largest exporters; I'll ask it again - is your company
the largest exporter of cigarettes from the United States?
A I have nothing to do with the exporting of
cigarettes; I'm not in that department; I couldn't say
Q The original answers to the interrogatories were
given by Reynolds and dated September 14, 19?0, and they
were more recently amended on January 21, 1971, to include
a certain statements that had been made by Mr. Bersos to
John Smith - do you know why that was not known earlier?
A I don't know what you are talking about, sir; I
have no idea of what you are talking about.
Q Well, okay.
A I know Mr. Bersos, I know him, but I have no
idea what you a re relating the question to, or anytiiing
about the question.
Q Well, the original question had asked to identifZ
all officers, agents, or employees who had any kind of
discussions concerning Cancer Filter Cigarettes, and in thl
GRAHAM ERLACHER & ASSOCIATES
OFFICtAL COURT REPORlERS
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original answer3, which were given,-I4r. BersosI name was
not included; it has recently been included, and my questi n
is do you know why that time lag occurred?
A I did not discuss this matter-with Mr. Bersos
and he is no longer with the company; I never have dis-
cussed this matter with him.
MR. i4cE':JEN s I'm afraid this witness is not
going to enlighten you on that subject.
Q (By ~Ir. Tilbury) You have, in Plaintiff ' s Echibi
No. 4, a reference to - I'll show you what I mean - starti g
with the words "I took" - at the bottom of page one,
Plaintiff's Exhibit No. 4, a memo from you dated May 30,
1967, in which you say, "Nor did I discuss our feelings
about the adverse publicity that this cigarette has caused
in the Portland area toward the tobacco'industry"; could
-you tell me what publicity you had reference to?
. A Well,-,-the fact that the name "Cancer" is not
very complimentary'towards the tobacco industry, the
cigarette industry, with the health and smoking controvers
involved.
Q Okay; do you know of any particular purpose that
was generated, that you had in mind when you used that
ph.aze, "Adverse publicity"?
A The fact that the cigarette was being marketed
was publicity enough, with the name Cancer on the pack.
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Q Is that what you had in mind -'that's all I'm
asking?
A Yes.
Q Did you go to Eugene, or any other spot except
the im.mediate Portland area when you were there?
A No.
Q Did you go to Tacoma or Seattle?.
A No.
Q Have you made trips to either of those two
areas in recent years at all, from 1967 on to the present
time?
A
I believe.
Q
time?
Seattle, but it was much later, it was in 168,
Did you call on the Payless Drugstores,.at that.
Not that I recall; I don't remember.
In a general sense, who did you call on? In
It would be a typical business trip, calling on
all retail outlets and wholesalers, and so forth, all that
Q Did Cancer Cigarettea enter into that meeting
in any way at any time?
A No
14R. TILBURY: 01cay.
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EXAMINATION BY IiR. CROHN
Q Mr. (trout, at the noon hour, I asked you to
when Camel Filters were introduced into the national
market, did I not?
A Ycs.
Q Could you tell me when Camel Filters were
introduced nationally in the United States by Reynolds?
A Max, I got that information and I left it on
my desk.
MR. (3RIBSS: Do you want to call
THE WITPtESS : Ye s, let me ca2l; they put it on
my desk and I forgot it - I don't want to foul things
up and hit the wrong dates.
(Discussion off the record)
TIE 1r'ITIdESS: We had two markets involved in
that; you want national introduction date?
Q (By tir. Crohn) Yes.
A CaMal Filters - August, 1966.
Q Would that include the area of Portland, Oregon?
A Yes.
Q You mentioned that you went out to Oregon to ,..~
I)ln,I' V ., .
as: ess ilr. 1::wrizn and Kecseti for pro:aotion;following your
visit to Portland in :iarch of 1967, were Mr. Kecseti and
~ } ~:! r ~`u r!
Mr. Rar--ianm promoted?
A Yes
Q
Can you tell us when and to what position they
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were promoted to approximately, if you recall?
A The latter part of 167, tdr. Narion was promoted
to Assistant Regional Sales Manager, West Los Angeles
R3gion, at that time. Mr. Keoseti was promoted to Divisio
Mana,-er of the Portland Division.
Q You stated that prior to coming to Portland, you
read something about Cancer Filter Cigarettes in a nationa
magazine. At the time that you read of Cancer Cigarettes
in that national magazine, were you aware 'of the area
in which it was being marketed, or the individual company
that was marketing it?
A N
Q When did you first learn where it was being
marketed?
A :3hen I worked with Mr. Kecseti in Portland,
Q That was March 17th?
A Yes, sir.
Q A question was put to you whether there were any
instructions rade by yau to your sales force with respect
to reporting Cancer Filter Cigarettes distribution, and I
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believe youf replf that you left instructions in the
Portland area, Were there any instructions given by you, o
to your kno;aledGe, were any instructions given by anyone
in the corapany°s management regarding the reporting of
Cancer Cigarettes anywhere else in the country?
GRAHAM ERLACHER & ASSOCIATES
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A 110.
Q I take it that instructions that were given were
given only to the local division in Portland, is that correc
A Yes, sir.
Q You mentioned that you instructed your people in
Portland to stay out of the Bel-Air Pharrsacy, and the
question was asked whether that meant that Reynolds Pro-
ducts would not be supplied at Bel-Air Pharmacy; I think
that question was left a little bit up in the air; would
you explain what you mean by Reynolds products not being
supplied to Bel-Air Pharmacy, please?
A I did not 1o7ow that; I didn't say anything about
our products being supplied to Bel-Air Pharmacy; I just
gave word to the management of that division to keep our
salesmen from calling on Bel-Air Pharmacy.
Q Would'that have any effect upon Bel-Air Pharmacy
obtaining Reynolds Tobacco products?
A None at all. No.
Q S]here would Bel-Air Pharmacy obtain Reynolds
Tobacco prod ucts?
A From any of the direct accounts we havain the
area therep that wanted to sell them.
EXAI1I1NATION BY .4R. GRIESS
MR. aRIESS: Do you mind me asking one question?
You have testified to the various organizations to
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which Reynold3 sent representatives; do you recall that?
TIM WITNESS s Ye s.
Q (By a-Ir. Griess) Now, to your knowledge, was the
subject of Cancer Cigarettes discussed by Reynolds, or
any of Reynolds' representatives at any of these various
meetings?
A No.
MR. GRIESS: I don't think we have anything
further.
MR. tiicEaEtd: I have no questions.
iy1R. OIhTEILL: No questions.
F?CA~4IINATION BY I+IR. TILBURY
Q Do you know the date when Vantage was introduced
- in the northwest?
A The date when Vantage was introduced?
Q Yea, sir.
A The national introduction date was November 3.
Q Of what year?
A This year - pardon me, 1970.
Q Well, now, was that first test market in the
Portland, 0regon area? Andff so, when?
A Portland was one of our test market areas, yes.
Q Do you know the date?
A It was not a test market - we refer to this as a
lead market introduction; we didn't want to test the
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GRAHAM ERLACHER 8 ASSOCIATES
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ASHE DRIVE
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eigarette, because we knew we had a good cigarette, and
we didn't have the supply, so we called it lead markets -
Syracuse, Portland, and I don't have the exact date -
approxirrately three months before national introduction.
Q Have you had any contact with AI7 - American
Machine and Foundry?
A No.
.Q At any time?
A ldo, sir.
Q Do you know whether or not Pacific Tobacco
acquired its supply of Reynolds products from and through
the Empire Tobacco Company; was that the source?
A That was my understanding, yes. j
Q That's all.
(Off the record)
°~
1~iR. GRIESS: In the last question, Mr. Vrsh~ ~',
had the reporter read it back from his recording; and
it was whether Pacific Tobacco Company got its supplii
of Reynolds products from Empire Tobacco Company;
now did you understand that question when it was
aaked?
THE WIT2dESS: I misunderstood the question.
MR. TILBURY: I was speaking of Bel-Air Pharmacy
and Garden Home Pharmacy.
THE WIT:1ESS: I know nothing about Garden Home
44 1
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'
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PHOn[: 783-0636 Y~
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Pharmacy; but Bel-Air Pharmacy, I understand, did buy
its Reynolds products from Empire Wholesale Company.
14R. aRIESS: Do you know whether Bel-Air dealt
with any other jobbers or whole3alers with respect to
tobacco products?
T'riE WIVIIESS s I don't know .
Y~iR. 4RIESS: I think that's clear enough now.
MR. TILEtJRY: I'm sorry, I didn't realize that
I asked in terms of Pacific Tobacco; I meant Bel-Air.
tZR. .0 1NRIi,L s Put that on the record; I want to
make sure we Cet that on thers.
( Fnd of Eacamination )
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THIS .IS TO CERTIFY THAT THE TESTIIdONY HEREIN GIVEN
BY ME IS TRUE AND CORRECT TO THE BEST OF MY KNOWLEDGE
A2iD BELIEF. -
. Y~. a rout)
Date
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CERTIFICATE
STATE OF NORTH CAROLINA
COUtti'TY OF FORSYTH
47
I, J. Edward Switzer, Jr., Notary Public, in and for
the County of Forsyth, State of North Carolina, do hereby
certify:
That on the 2nd day of February, 1971, there appeared~
before me the foregoing witness in the above-entitled case
That the said testimony was then taken at the time an
place mentioned, beginning at 10:00 o'clock A.M. on Feb-
ruary 2, 1971;
That the said witness was sworn by me and examined
to tell the truth, the whole truth, and nothing but the
truth in said case;
That the foregoing testimony was taken by me on
stenomask and thereafter reduced to typewriting under my
supervl3ion, and the foregoing forty-five (45) pages
contain a full, true and correct transcription of all-the
testimony of said witness;
TM:.t the undersigned J. Edward Switzer, Jr., is not
of kin or in an.y zvise associated with any of the parties t
said cause of action or their counsel, and that I am not
interested in the event thereof.
IN tazT?IESS :11MOF, I have hereunto set by hand this
/~ ~ day of i.arch, 1971.
kiy Co4 miosion expires :
February if3i 197v
our
er
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