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Category:Legal-Affidavit
MONTHYEARML24162A0792024-06-0707 June 2024 OEDO-24-00083 - 10 CFR 2.206 - Diablo Canyon Units 1 and 2 Seismic CDF - Supplemental Declaration 6-7-2024 - DCL-23-022, 2023 Annual Statement of Insurance for Pacific Gas and Electric Companys Diablo Canyon Power Plant2023-03-29029 March 2023 2023 Annual Statement of Insurance for Pacific Gas and Electric Companys Diablo Canyon Power Plant DCL-19-082, Submittal of Site-Specific Decommissioning Cost Estimate2019-12-0404 December 2019 Submittal of Site-Specific Decommissioning Cost Estimate DCL-18-100, License Amendment Request 18-02 - License Amendment Request to Revise Technical Specification 5.6.5b1 Core Operating Limits Report (COLR) for Full Spectrum Loss-of-Coolant Accident Methodology2018-12-26026 December 2018 License Amendment Request 18-02 - License Amendment Request to Revise Technical Specification 5.6.5b1 Core Operating Limits Report (COLR) for Full Spectrum Loss-of-Coolant Accident Methodology ML16061A4522016-02-11011 February 2016 Submittal of Tricon Phase 2 Documents for the License Amendment Request for Process Protection System Replacement DCL-16-020, Diablo Canyon, Units 1 and 2 - Submittal of Tricon Phase 2 Documents for the License Amendment Request for Process Protection System Replacement2016-02-11011 February 2016 Diablo Canyon, Units 1 and 2 - Submittal of Tricon Phase 2 Documents for the License Amendment Request for Process Protection System Replacement ML16026A3882016-01-0505 January 2016 Westinghouse Electric Company, LLC, Submittal of Proprietary Version of LTR-DCPPS-15-008 Response to NRC RAI 73 (Open Item 129). ML15090A2752015-03-26026 March 2015 Independent Spent Fuel Storage Installation - Consent and Hearing Waiver Form ML14171A2372014-06-11011 June 2014 Submittal of Supplemental Analysis for Inservice Inspection Program Relief Request SWOL-REP-1 U2 ML14205A0352014-03-12012 March 2014 Affidavit No. 993754-AFF-104T, Dated 03/12/2014, Signed by Mark Herschthal DCL-14-034, Affidavit No. 993754-AFF-104T, Dated 03/12/2014, Signed by Mark Herschthal2014-03-12012 March 2014 Affidavit No. 993754-AFF-104T, Dated 03/12/2014, Signed by Mark Herschthal DCL-13-061, CS Innovations - Application for Witholding Proprietary Information from Public Disclosure, Enclosure, Attachment 22013-04-25025 April 2013 CS Innovations - Application for Witholding Proprietary Information from Public Disclosure, Enclosure, Attachment 2 DCL-13-021, Areva Affidavit for Areva Calculations 32-9199805-000, Diablo Canyon Power Plant Unit 2 Pzr Safety and Spray Nozzles Planar Flaw Analysis (Proprietary) and 32-9199937-000, DCPP Unit 2 - Evaluation of Laminar Indications in Pressurizer N2013-03-0505 March 2013 Areva Affidavit for Areva Calculations #32-9199805-000, Diablo Canyon Power Plant Unit 2 Pzr Safety and Spray Nozzles Planar Flaw Analysis (Proprietary) and #32-9199937-000, DCPP Unit 2 - Evaluation of Laminar Indications in Pressurizer Noz ML13078A2922013-03-0505 March 2013 Areva Affidavit for Areva Calculations #32-9199805-000, Diablo Canyon Power Plant Unit 2 Pzr Safety and Spray Nozzles Planar Flaw Analysis (Proprietary) and #32-9199937-000, DCPP Unit 2 - Evaluation of Laminar Indications in Pressurizer Noz DCL-12-069, Diablo Canyon, Units 1 and 2 - Submittal of Attachment 1, Quality Assurance Plan and Revised Phase 1 Documents for the License Amendment Request for Digital Process Protection System Replacement and Attachment 8 Affidavit 993754-AFF-38T2012-08-0202 August 2012 Diablo Canyon, Units 1 and 2 - Submittal of Attachment 1, Quality Assurance Plan and Revised Phase 1 Documents for the License Amendment Request for Digital Process Protection System Replacement and Attachment 8 Affidavit 993754-AFF-38T ML12222A0942012-08-0202 August 2012 Submittal of Attachment 1, Quality Assurance Plan and Revised Phase 1 Documents for the License Amendment Request for Digital Process Protection System Replacement and Attachment 8 Affidavit 993754-AFF-38T ML12137A0242012-05-15015 May 2012 Diablo Canyon - May Hearing File Update ML11297A0562011-10-18018 October 2011 Diablo Canyon - October Hearing File Update ML0715501312007-05-23023 May 2007 SER Compliance with WCAP-16260-P-A the Spatially Corrected Inverse Count Rate (Scicr) Method for Subcritical Reactivity Measurement DCL-05-121, Correction of Information Contained in License Amendment Request 05-04. Revision to Technical Specification 5.3.1. 'Unit Staff Qualifications.'2005-12-23023 December 2005 Correction of Information Contained in License Amendment Request 05-04. Revision to Technical Specification 5.3.1. 'Unit Staff Qualifications.' DCL-05-018, License Amendment Request 05-01 Revision to Technical Specification 5.5.9, Steam Generator Tube Surveillance Program, and 5.6.10, Steam Generator Tube Inspection Report. to Allow Use of the W* Alternate Repair Criteria.2005-03-11011 March 2005 License Amendment Request 05-01 Revision to Technical Specification 5.5.9, Steam Generator Tube Surveillance Program, and 5.6.10, Steam Generator Tube Inspection Report. to Allow Use of the W* Alternate Repair Criteria. DCL-04-149, License Amendment Request 04-07, Revision to Technical Specifications 3.7.17 and 4.3 for Cycles 14-16 for a Cask Pit Spent Fuel Storage Rack2004-11-0303 November 2004 License Amendment Request 04-07, Revision to Technical Specifications 3.7.17 and 4.3 for Cycles 14-16 for a Cask Pit Spent Fuel Storage Rack DCL-04-123, License Amendment Request 04-06 Removal of Technical Specifications 5.6.1, Occupational Radiation Exposure Report, and 5.6.4, Monthly Operating Reports2004-11-0101 November 2004 License Amendment Request 04-06 Removal of Technical Specifications 5.6.1, Occupational Radiation Exposure Report, and 5.6.4, Monthly Operating Reports DCL-04-104, Response to NRC Request for Additional Information Regarding License Amendment Request 04-01, 'Revised Steam Generator Voltage-based Repair Criteria Probability of Detection Method for Plant.2004-08-18018 August 2004 Response to NRC Request for Additional Information Regarding License Amendment Request 04-01, 'Revised Steam Generator Voltage-based Repair Criteria Probability of Detection Method for Plant. DCL-04-089, Response to June 14 and July 6, 2004, NRC Request for Additional Information Re License Amendment Request 03-18, Revision to Technical Specifications 5.5.9, 'Steam Generator (SG) Tube Surveillance Program,' & 5.6.10.2004-07-30030 July 2004 Response to June 14 and July 6, 2004, NRC Request for Additional Information Re License Amendment Request 03-18, Revision to Technical Specifications 5.5.9, 'Steam Generator (SG) Tube Surveillance Program,' & 5.6.10. DCL-04-095, 60-Day Response to NRC Bulletin 2004-01, Inspection of Alloy 82/182/600 Materials Used in the Fabrication of Pressurizer Penetrations and Steam Space Piping Connections at Pressurized Water Reactors2004-07-27027 July 2004 60-Day Response to NRC Bulletin 2004-01, Inspection of Alloy 82/182/600 Materials Used in the Fabrication of Pressurizer Penetrations and Steam Space Piping Connections at Pressurized Water Reactors DCL-04-066, Response to NRC Request for Additional Information Regarding License Amendment Request 03-12, Revision to Technical Specifications 3.3.1, 'Rts Instrumentation,' and 3.3.2, 'Esfas Instrumentation.'2004-06-0404 June 2004 Response to NRC Request for Additional Information Regarding License Amendment Request 03-12, Revision to Technical Specifications 3.3.1, 'Rts Instrumentation,' and 3.3.2, 'Esfas Instrumentation.' ML0412804352004-04-30030 April 2004 Notice of Change of Address ML0409704212004-03-31031 March 2004 Saybrook Capital, LLC Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for February 1 Through February 29, 2004 ML0409805912004-03-18018 March 2004 Public Policy Advocates Llc'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expense for February 1, 2004 Through February 29, 2004 ML0406204532004-02-23023 February 2004 Declaration of Sandip Sen in Support of Debtor'S Motion for Authority to Establish Cash-collateralized Letter of Credit Program and Facility to Secure Gas Purchases, and to Incur Secured Debt Related Thereto (the Motion)' ML0403706012004-01-29029 January 2004 Declaration of Raymond X. Welch in Support of Motion for Authority to Establish Cash-Collateralized Letter of Credit Program and Facility to Secure Gas Purchases, and to Incur Secured Debt Related Thereto ML0403706042004-01-29029 January 2004 Declaration of Michael J. Donnelly in Support for Authority to Establish Cash-Collaterized Letter of Program and Facility to Secure Gas Purchases, and to Incur Secured Debt Related Thereto ML0400700982003-12-30030 December 2003 Howard, Rice Nemerovski, Canady, Falk & Rabkin Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for November, 2003 ML0400200602003-12-22022 December 2003 Declaration of Grant Guerra in Support of Motion for Order Authorizing the Debtor to Settle Claim No. 13377 Filed by the Presidio Trust ML0333810452003-11-26026 November 2003 Cooley Godward Llp'S Twenty-Ninth Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period October 1, 2003 - October 31, 2003 ML0331800932003-11-0606 November 2003 Proof of Service ML0331701792003-10-31031 October 2003 Declaration of Michael J. Donnelly in Support of Pg&E'S Application for Authority to Incur Plan Implementation Expenses in Connection with Certain Financings DCL-03-133, Full Compliance with Order for Compensatory Measures Related to Fitness-For-Duty Enhancements Applicable to Nuclear Facility Security Force Personnel, Dated 04/29/03 (EA-03-038)2003-10-28028 October 2003 Full Compliance with Order for Compensatory Measures Related to Fitness-For-Duty Enhancements Applicable to Nuclear Facility Security Force Personnel, Dated 04/29/03 (EA-03-038) ML0331800902003-10-23023 October 2003 Declaration of Jennifer A. Becker in Support of City of Oakland and Port of Oakland'S Motion for Relief from Automatic Stay ML0331800862003-10-23023 October 2003 Relief from Stay Cover Sheet ML0328703662003-09-29029 September 2003 Skadden, Arps, Slate, Meagher & Flom Llp'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period August 1, 2003 Through August 31, 2003 ML0327312982003-09-24024 September 2003 (Reorganized) California Power Exchange Corporation'S Limited Objection to Motion for Order Authorizing Pacific Gas and Electric Company to Compromise Claims Against El Paso Natural Gas Company Et Alia and to Enter Into Agreements Resolving ML0327314402003-09-23023 September 2003 Fact Witness Disclosure of Satellite Senior Income Fund, Satellite Senior Income Fund II and Deutsche Bank Trust Company Americas to Objection to Confirmation of Plan of Reorganization Under Chapter 11 of the Bankruptcy Code for Pacific Gas ML0327313322003-09-22022 September 2003 Notice of Hearing on Interim Compensation Applications of Professionals and Final Expense Application of Creditors' Committee Members ML0326810702003-09-16016 September 2003 Declaration of Michael J. Donnelly in Support of Debtor'S Notice of Motion and Motion for Order Approving Debtor'S Execution and Performance Under the Amendment to First Amended and Restated Summary of Terms with Respect to Forbearance and ML0325412082003-09-11011 September 2003 Order Re Ex Parte Application of Pacific Gas and Electric Company Authorizing Settlement and Withdrawal of Claim of Laguna Irrigation District ML0325911092003-09-0505 September 2003 Declaration of Joshua Bar-Lev in Support of Debtor'S Motion for Order Authorizing Pacific Gas and Electric Company to Compromise Claims Against El Paso Natural Gas Company Et Alla and to Enter Into Agreements Resolving the Claims ML0325411442003-09-0404 September 2003 Relief from Stay Cover Sheet - Motion & Notice of Motion of Smud for Relief from Automatic Stay in Litigation ML0325213432003-08-29029 August 2003 Declaration of Joseph Sauvage in Support of Motion for Authority to Enter Into Certain Hedging Transactions in Connection with Financing Under Proposed Plan of Reorganization, and to Incur Secured Debt Related Thereto 2024-06-07
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1 Donald K. Dankner (No. 0186536)
Thomas F. Blakemore (No, 03121566) 2 David A. Agay (No. 06244314) 3 WINSTON & STRAWN 35 West Wacker, Suite 4200 4 Chicago, IL 60601 312-558-5600 (Phone) 5 312-558-5700 (Facsimile)
Special Counsel to Debtor and Debtor in Possession 6 Pacific Gas and Electric Company .-"
7 8
9 UNITED STATES BANKRUPTCY COURT 10 NORTHERN DISTRICT OF CALIFORNIA 11 SAN FRANCISCO DIVISION 12 In re Case No. 01-30923 DM 13 PACIFIC GAS AND ELECTRIC Chapter 11 Case 14 COMPANY, a California corporation,
[NO HEARING SET]
15 Debtor.
16 Federal I.D. No. 94-0742640 17 SECOND SUPPLEMENTAL DECLARATION OF DONALD K. DANKNER IN 18 SUPPORT OF APPLICATION FOR AUTHORITY TO CONTINUE THE EMPLOYMENT OF SPECIAL COUNSEL TO DEBTOR IN POSSESSION ON NON BANKRUPTCY MATTERS [WINSTON & STRAWNl 20 21 22 23 24 N 25 26 27 28 CIII:1083258.1
1 I, Donald K. Dankner, hereby declare as follows:
2 1. I am a member of Winston & Strawn and an attorney in good standing to practice in the District of Columbia.
4 5 2. Except as otherwise indicated, I have personal knowledge of the matters 6 set forth herein and, if called as a witness, would testify competently with respect thereto.
7 8 3. I make this Second Supplemental Declaration to supplement the 9 disclosures and other information provided in (i) the Debtor's Application for Authority to 10 Employ and to Continue the Employment of Special Counsel to Debtor in Possession on Non 11 Bankruptcy Matters filed on May 16, 2001 (the "Application") and my Declaration in support 12 thereof; (ii) the Debtor's Amended Application for Authority to Employ Special Counsel filed on 13 June 22, 2001; and (iii) the Amendment to Amended Application for Authority to Employ and 14 15 Continue the Employment of Special Counsel to Debtor in Possession on Non-Bankruptcy 16 Matters [Winston and Strawn] filed on September 14, 2001 (the "Amendment"), and my 17 Supplemental Declaration in support thereof 18
- 4. Pursuant to the Application and the Amendment, Winston & Strawn is 19 20 counsel to the above captioned debtor and debtor in possession (the "Debtor"), employed under 21 section 327(e) of the Bankruptcy Code, 11 U.S.C. §§ 101, ets Winston & Strawn represents 22 the Debtor in connection with Federal Energy Regulatory Commission practice and advice, 23 Nuclear Regulatory Commission practice and advice, and regulatory matters arising out of 24 Debtor's plan of reorganization.
25 26 5. My supporting Declaration submitted as part of the Debtor's Application 27 set forth certain past and present representations by Winston & Strawn of certain of Debtor's 100 28 Largest creditors, on matters that were and are wholly unrelated to the firm's representation of 2
CniI:1083258.1
1 the Debtor or its estate in this chapter 11 case, or those entities' claims against or relationship 2 with the Debtor.
3 4 6. In my Supplemental Declaration submitted as part of the Amendment, I 5 set forth my estimate of Winston & Strawn's average monthly fees likely to result from Winston 6 & Strawn's expanded representation on regulatory matters related to Debtor's plan of reorganization.
8 9 7. Since the filing of Debtor's Application, Winston & Strawn has 10 represented, and is representing, PECO Energy Company ("PECO") in the bankruptcy of the 11 California Power Exchange Corporation ("CalPX") currently pending in the United States 12 Bankruptcy Court for the Central District of California, Los Angeles, Case No. LA 01-16577 13 ES.
14 15 8. Winston & Strawn's representation of PECO in the CalPX bankruptcy 16 relates to amounts owed to PECO by the CalPX and the California Independent System Operator 17 in the approximate amount of $2,949,775.68 plus unliquidated amounts.
18 19 9. It has come to my attention that Winston & Strawn filed a proof of claim 20 in the Debtor's bankruptcy on behalf of PECO. The proof of claim was filed as a protective 21 measure to preserve PECO's rights in the CalPX case. Other than the administrative act of filing 22 a proof of claim, Winston & Strawn has not, and will not, represent PECO in the Debtor's 23 24 bankruptcy. With respect to its claims against the Debtor, including the proof of claim filed by 25 Winston & Strawn, it is Winston & Strawn's understanding that PECO is represented by other 26 counsel not affiliated with Winston & Strawn.
27 28 10. Winston & Strawn's representation of PECO in the CalPX bankruptcy, as well as the filing of the proof of claim on behalf of PECO in the Debtor's bankruptcy, has not 3
CHI:1083258.1
1 affected, and will not affect, the finn's representation of the Debtor in this case. To the best of 2 my knowledge, Winston & Strawn does not represent PECO in any matter adverse to Winston &
Strawn's representation of the Debtor or the Debtor's estate as counsel in this case. Accordingly, 4
I believe Winston & Strawn's representation of PECO in the CalPX bankruptcy, and the filing of 5
not create an interest 6 a proof of claim on behalf of PECO in the Debtor's bankruptcy, does 7 adverse to the interests of the estate or of any class of creditor or equity security holders.
8
- 11. Except as set forth above, to the best of my knowledge, the statements 9
10 made in my Declaration remain true and correct.
11 I declare under penalty of perjury under the laws of the United States of America, 12 that the foregoing is true and correct.
13 14 Executed this 9th day of September, 2002.
15 16 L ~
17 Donald K. Dankner 18 19 20 21 22 23 24 25 26 27 28 4
CM:10332=
1 CERTIFICATE OF SERVICE 2 I, Nicole Genova-Scaravalle, certify under penalty of perjury that I caused a copy of the 3 foregoing SECOND SUPPLEMENTAL DECLARATION OF DONALD K. DANKNER IN 4 SUPPORT OF APPLICATION FOR AUTHORITY TO CONTINUE THE 5 EMPLOYMENT OF SPECIAL COUNSEL TO DEBTOR IN POSSESSION ON NON 6 BANKRUPTCY MATTERS to be served upon the persons on the attached service list via 7 Federal Express or U.S. Mail on or about Sep mber 9,2002.
9 Nicole Genova-Scaravalle Senior Paralegal for Winston & Strawn 10 11 Service List 12 13 United States Trustee Attn.: Mr. Stephen Johnson 14 United States Department of Justice 250 Montgomery Street, Suite 1000 15 San Francisco, CA 94101 16 James L. Lopes 17 Jeffrey L. Schafer Janet A. Nexon 18 William Lafferty Howard, Rice, Nemerovski, Canady, 19 Falk & Rabkin Three Embarcadero Center, 7th Floor 20 San Francisco, CA 94111 21 Robert J. Moore 22 Paul S. Aronzon Milbank, Tweed, Hadley & McCloy LLP 23 601 South Figueroa Street 24 Los Angeles, CA 900017 25 Theresa Lett Pacific Gas & Electric 26 P.O. Box 7442 San Francisco, CA 94120 27 28 C1ti:1091570.1