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Category:Legal-Correspondence
MONTHYEARNRC-2017-0188, Letter from the Secretary to the Petitioners Regarding Director'S Decision DD-18-032018-08-28028 August 2018 Letter from the Secretary to the Petitioners Regarding Director'S Decision DD-18-03 ML18240A1322018-08-28028 August 2018 Letter from the Secretary to the Petitioners Regarding Director'S Decision DD-18-03 ML15026A7082015-01-0909 January 2015 Mcniece V. Dominion Nuclear ML1209503832012-04-0303 April 2012 Letter from the Secretary of Commission to Thomas O'Brien, Newburyport City Council, Ma, in Response to Letter of 3/12/12 to Chairman Jaczko, Requesting the Commission Halt Relicensing of Seabrook ML0824801762008-08-0505 August 2008 E-Mail from E. Julian to ASLB for Millstone Uprate Proceeding, Referring a Motion of Nancy Burton That Requested Consideration of Amended Contentions ML0824801952008-07-21021 July 2008 E-Mail from E. Julian to Nancy Burton Advising That Her Filing of July 18, 2008, Was Not Accepted for Docketing on Procedural Grounds ML0716505312007-06-12012 June 2007 6/12/2007 - Certified Supplement to the Index of the Record for Spano V. NRC; Nos. 07-0324-ag and 07-1276-ag Consolidated ML0603301132006-02-0101 February 2006 Respondent'S Certified Index of the Record, Dated 2/1/06 ML0601705152006-01-12012 January 2006 Notice of Appearance & the Respondent'S Acknowledgment Letter, Dated 1/12/06 ML0601704802006-01-0404 January 2006 Unopposed Motion of Dominion Nuclear Connecticut for Leave to Intervene & Corporate Disclosure Statement, Dated 1/4/06 ML0601704822005-12-15015 December 2005 Petitioner'S Petition for Review & Form C-A Pre-Argument Statement with $250, Dated 12/15/05 ML0534000922005-11-29029 November 2005 Letter from David R. Lewis to Annette L. Vietti-Cook Regarding the Connecticut Coalition Against Millstone'S 11/25/05 Motion to Reopen ML0512900942005-05-0505 May 2005 Suffolk County'S Report to the Board, as Requested in Conference Call ML0510801262005-04-0404 April 2005 Notice of New Firm Name ML0603106732005-03-23023 March 2005 Letter from Steve Levy, Suffolk Co. to Michael Farrar, ASLBP, Suffolk County'S Reply and Request for Waiver of Commission Regulations. Dominion Nuclear Conneticut'S Response and NRC Staff Motion ML0436300232004-12-27027 December 2004 Letter from Annette Vietti-Cook to Christine Malafi, Esq. Responding to Her December 17, 2004 Motion to Intervene ML0620900512004-12-0808 December 2004 in the Matter of Dominion Nuclear Connecticut, Inc. (Millstone, Units 2 and 3) ML0434301122004-12-0707 December 2004 Millstone Units 2 and 3 - Letter from Brooke D. Poole to Administrative Judges Informing That the Public Citrix-based Version of the ADAMS Publicly Available Records System Has Been Partially Restored ML0432300822004-11-17017 November 2004 Millstone Units 2 and 3 - Letter from Brooke D. Poole to Administrative Judges Informing of the Status of the Temporary Suspension of Public Access to ADAMS ML0430802812004-10-29029 October 2004 Letter to Court Providing Technical Correction to a Citation, Dated 10/29/04 ML0430101062004-10-25025 October 2004 Millstone 2 & 3 - Letter from Brooke D. Poole to Administrative Judges Informing That the Commission Has Blocked Public Access to Documents in ADAMS ML0430700982004-10-19019 October 2004 E-mail from Brooke Poole to Administrative Judges and Participants Re Missing Page 3 to Staff'S Brief Filed on 10/18/04 ML0430802772004-10-0606 October 2004 Letter to Court Informing License Renewal Proceeding That Was the Subject of the Motion, Dated 10/6/04 ML0429504062004-09-30030 September 2004 Letter to Court 9/20/04 Letter to Dominion, NRC Approved the License Amendment, Dated 9/30/04 ML0426102982004-09-0202 September 2004 Order Setting New Date for Oral Argument on Motion to Dismiss, Dated 9/2/04 ML0426102952004-08-20020 August 2004 Order Setting Date for Oral Argument on Motion to Dismiss and Also for Petition'S Response, Dated 8/20/04, CT Coalition V. Us Nuclear ML0423900312004-08-18018 August 2004 Letter from David R. Lewis Regarding Connecticut Coalition Against Millstone'S Notice of Appeal, Dated 08/09/04 ML0424401962004-08-18018 August 2004 Letter to Clerk Informing Respondent'S Unavailability of Oral Argument Dates, Dated 8/18/04 ML0809803492004-08-16016 August 2004 Connecticut Coalition Against Millstone V. NRC, Case No. 04-35770ag; Entry of Appearance ML0424401662004-08-16016 August 2004 Letter from Clerk Corrected Adhesive Covers Needed, Dated 8/16/04 ML0422303262004-08-0606 August 2004 Brief for the Federal Respondents, 8/6/04 ML0425701132004-08-0202 August 2004 Notice of Change of Caption, Dated 8/2/04 ML0425700832004-07-12012 July 2004 Notification of Petition, Dated 7/12/04 ML0425700822004-06-25025 June 2004 Pre-Argument Statement, Dated 6/25/04 ML0434402602004-04-30030 April 2004 E-mails Between David Repka, Geraldine Fehst & Nancy Burton Usca 04-0109, Dated 04/30/04 ML0434402742004-04-29029 April 2004 E-mail from G. Fehst to Nancy Burton Usca 04-0109 W/Proposals for Joint Appendix, Dated 04/29/04 ML0434302192004-04-15015 April 2004 Letter Clarifying the Status of the License Amendment, Dated 4/15/04 ML0421003692004-04-0909 April 2004 Letter Informing the Civil Appeal Scheduling Order #1, Dated 04/09/04 ML0410606222004-04-0505 April 2004 E-mail from Administrative Judge Bollwerk to Nancy Burton Responding to Ms. Burton'S e-mail Re Filing of Reply to the Licensee and NRC Staff Responses to Connecticut Coalition Against Millstone'S Motion for Reconsideration and to Vacate ML0411302362004-04-0202 April 2004 Letter from Nancy Burton to Chief Administrative Judge Bollwerk Informing That She Intends to File a Reply on 04/05/04 to the Licensee and Staff Answers Re Commission'S 03/24/04 Order ML0409901782004-04-0202 April 2004 Letter from David R. Lewis to Chief Administrative Judge Bollwerk Re Submission of Dominion'S Answer Opposing Ccam'S Motion to Vacate ML0408301412004-03-10010 March 2004 Letter from Margaret J. Bupp and Catherine L. Marco Stating That Connecticut Coalition Against Millstone'S Petition to Intervene and a Request for Hearing Filed on 02/12/04 Should Be Rejected Since It Was Submitted Prematurely ML0407609612004-03-0404 March 2004 Letter of David Lewis Objecting to the 3/1/2004 Burton Letter and Emphasizing That the Burton Petition to Intervene Was Still Premature ML0407609402004-03-0404 March 2004 Letter from the Secretary to Nancy Burton Returning Millstone Intervention Petition ML0410702762004-03-0101 March 2004 Acknowledge Receipt with Index of Filings, Dated 3/1/04 ML0407609582004-03-0101 March 2004 Response of Nancy Burton to the 2/13/2004 Letter of David Lewis That Advised the Secretary That the Burton Petition to Intervene Was Premature ML0406107372004-02-24024 February 2004 Certified Index of Record Dated 02/24/04 ML0405500582004-02-23023 February 2004 Letter Informing Court of Address and Appearances, Dated 2/23/04 ML0407609542004-02-13013 February 2004 Letter to Secretary Indicating That the Petition to Intervene of the Connecticut Coalition Against Millstone Is Premature ML0405005902004-01-23023 January 2004 Petition to Review License Amendment Application and Reconsideration of Final Decision, Dated 01/06/04 2018-08-28
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00~%REG&~ UNITED STATES NUCLEAR REGULATORY COMMISSION "4'° WASHINGTON, D.C. 20555-0001 August 16, 2004 OFFICE OF THE GENERAL COUNSEL Roseann B. Mackechnie, Clerk United States Court of Appeals For the Second Circuit United States Court House 40 Foley Square New York, New York 10007 Attention: Wilson Dudley, Deputy Clerk RE: Connecticut Coalition Against Millstone v. NRC, Case No. 04-3577-AG
Dear Ms. Mackechnie:
Please enter my appearance in the above-captioned case as lead counsel for the Respondent U.S. Nuclear Regulatory Commission. I have enclosed a Notice of Appearance Form. Please serve all pleadings related to this case on me at one of the following addresses:
Regular U.S. Mail: Office of the General Counsel, U.S. Nuclear Regulatory Commission, Washington, D.C. 20555 Express Delivery: Office of the General Counsel, U.S. Nuclear Regulatory Commission, 111555 Rockville Pike, Rockville, Maryland 20852 In view of the Federal government's screening of all regular mail for biological agents, please use the Express Mail (or courier) address for materials that are time-sensitive. You may also reach me at the Internet address below.
In addition, enclosed is the original-and four copies of the "Federal Respondents' Motion to Dismiss," which is submitted for filing. Please date stamp the enclosed extra copy of this letter to indicate the date of filing and return it to me in the postage prepaid envelope provided at your convenience. Please call me with any questions about this matter.
ResPpIlly submitted,
~' Charles E. ullins Sioenior Attorf ey Office of th General Counsel (301) 415-1606 (voice)
(301) 415-3200 (fax) cem@nrc.gov (Internet) cc: Service List
Second Circuit Miscellaneous Forms Notice of Appearance ShortTitle: Connecticut Colition Against Docket No. 04-3577-AG Millstone v. NRC NOTICE OF APPEARANCE Appearance for (provide name of party): U.S. Nuclear Regulatory Commission Status of Party:
Appellant/Petitioner ( ) Cross-Appellee/Cross Respondent (X) Appellee/Respondent ( ) Intervenor Cross-Appellant/Cross-Petitioner ( ) Amicus Curiae Other (Specify):
An attorney will argue this appeal.
- Name of attorney who will argue appeal, if other than counsel of record: Charles E. Mullins
- Date of arguing attorney's admission to this Court (month, day, year): ,limnp 1 ). 2n00
- Other Federal/State Bar admissions: (month, day, year): Commonwealth of Kentuckv, October 1982 I am a pro se litigant who is not an attorney.
I am an incarcerated pro se litigant.
TIME REQUEST
() Oral argument is not desired.
() Oral argument is desired. Party requests _ minutes or multi-co-parties request a total of 2.n__ minutes to be apportioned as follows: 15 minutes for Respondent NRC and 5 minutes for Intervenor Dominion If more than 20 minutes per side is requested, set forth reasons: Nuclear Connecticut AVAILABILITY OF COUNSELIPRO SE LITIGANT I understand that the person who will argue the appeal must be ready at any time during or after the week of argument which appears on the scheduling order.
(x) I know of no dates which would be inconvenient.
() I request that the argument of this appeal not be calendared for the following dates, which are inconvenient. I have included religious holidays.
COUNSEL OR'PRO SE LITIGANT MUST ADVISE THE COURT IN WRITING OF ANY CHANGE IN AVAILABILITY. FAILURE TO DO SO MAY BE CONSIDERED BY THE COURT IN DECIDING MOTIONS FOR ADJOURNMENT BASED ON UNAVAILABILITY.
RELATED CASES This case has not been before this Court previously.
This case has been before this Court previously. The short title, docket number and citation are:
- 6) Matters related to this appeal or involving the same issue have been or presently are before this Court. The short titles, docket numbers and citations are: Connecti cut Coalition Againgf Mill tone V. NRC. No. 04-0109, involves the,-same parties., but raises different issues and challenges a different NRC licensing Vac on.
Signat r unselrrd or pro se litigant: Signature of counsel who will argue the appeal, if different:
Type or Print Named C'hales E. Mullins Type or Print Name NameofFirm: Office of the General Counsel Address: U.S. Nuclear Regulatory Commission Telephone: 301-415-1606 Date August 12, 2004 Telephone: Date: