ML022900658
| ML022900658 | |
| Person / Time | |
|---|---|
| Site: | Diablo Canyon |
| Issue date: | 09/30/2002 |
| From: | Repka D Pacific Gas & Electric Co, Winston & Strawn |
| To: | Liacouras S Office of Nuclear Reactor Regulation, US Federal Judiciary, Court of Appeals, 9th Circuit |
| References | |
| Case 02-72735 | |
| Download: ML022900658 (2) | |
Text
WINSTON & STRAWN 35 WEST WACKER DRIVE 1400 L STREET, NW 200 PARK AVENUE CHICAGO, ILLINOIS 60801-9703 WASHINGTON. D C 20005-3502 NEW YORK. NEW YORK 10188-4193 43 RUE DU RHONE 1204 GENEVA, SWITZERLAND (202) 371-6700 21 AVENUE VICTOR HUGO S75116 PARTS, PFRANCE 38TH FLOOR FACSIMILE (202) 371-5950 333 SOUTH GRAND AVENUE LOS ANGELES, CAUFORNIA 90071-1543 Www.winflton.lom DAVID A. REPKA (202) 371-5726 drepka wfnstonrcom September 30, 2002 BY FACSIMILE Mr. Stephen Liacouras Circuit Mediator United States Court of Appeals for the Ninth Circuit Circuit Mediation Office 95 Seventh Street San Francisco, CA 94119-3939 Re:
October 3, 2002, Settlement Assessment Conference Case No. 02-72735, California Public Utilities Commission v. Nuclear Regulatory Commission
Dear Mr. Liacouras:
Pacific Gas and Electric Company ("PG&E") hereby requests to participate in the settlement assessment conference for the above-captioned proceeding, scheduled to occur by telephone on October 3, 2002, at 12:00 p.m. Pacific Time.
Petitioners California Public Utilities Commission and County of San Luis Obispo are seeking review of a Memorandum and Order of the U.S. Nuclear Regulatory Commission ("NRC"). PG&E is the owner and operator of Diablo Canyon Power Plant, the facility subject to the NRC Memorandum and Order. PG&E participated as the applicant in the proceeding below before the NRC. PG&E's operations are directly implicated by the proposed NRC licensing action and would be directly affected should the Court suspend, enjoin, or set aside the NRC's orders that are the subject of the Petition for Review in this proceeding.
Accordingly, PG&E has a direct and substantial interest in the case, and, on September 17, 2002, filed a motion for leave to intervene in this proceeding pursuant to Rule 15(d) of the Federal Rules of Appellate Procedure and Circuit Rule 15-3.2(c).
-,. WINSTON & STRAWN Mr. Stephen Liacouras September 30, 2002 Page 2 Counsel for PG&E to participate in the settlement assessment conference are as follows:
David A. Repka Telephone: (202) 371-5726 Brooke D. Poole Counsel for the NRC Staff does not object to PG&E's request to participate in the settlement assessment conference. If you need any further information, please contact me at the number above. Thank you for your attention to this matter.
Sincerely, David A. Repka Counsel for Pacific Gas and Electric Company cc:
Service List 277336.1