Grant v. Foster Wheeler, LLC

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Grant worked for Bath Iron Works from 1964-1970, and again from 1978-1994. During Grant’s first period of employment, asbestos was a common component of the insulation and other materials used at Bath, including for the construction and renovation of ships. Grant worked in a variety of positions, including as a ship cleaner. Cleaning included sweeping up debris— sometimes including asbestos. In 2011, Grant died of lung cancer, caused by exposure to asbestos. The trial court rejected, on summary judgment, Grant’s estate’s complaint, alleging negligence, violation of 14 M.R.S. 221 (defective or unreasonably dangerous goods), and loss of consortium. The complaint named 15 defendants, including Bath’s suppliers. The Maine Supreme Judicial Court affirmed. The trial court required the estate to show “[t]hat the defendant’s asbestos-containing product was at the site where the plaintiff worked or was present, and that the plaintiff was in proximity to that product at the time it was being used.” The estate was unable to produce evidence to establish a prima facie case that any of the named defendants’ products were a proximate cause of the injuries View "Grant v. Foster Wheeler, LLC" on Justia Law