ML17208A755

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Forwards Info Re Util 800605 Application Seeking Amend of CP to Include City of Orlando,Fl & Orlando Utils Commission as co-owners of Unit.Data Sent to Afford DOJ Opportunity to Render Advice Per 1954 Atomic Energy Act.W/O Encl
ML17208A755
Person / Time
Site: Saint Lucie 
Issue date: 06/26/1980
From: Shapar H
NRC OFFICE OF THE EXECUTIVE LEGAL DIRECTOR (OELD)
To: Civiletti B, Kaplan D
JUSTICE, DEPT. OF
References
NUDOCS 8006300328
Download: ML17208A755 (2)


Text

0 June 26, 1980 The Honorable Benjamin R. Civiletti Attorney General Washington, D.C.

20530 Attention:

Donald A. Kaplan, Chief Energy Section Antitrust Division Department of Justice Distribution:

Document tt)t. Br.

016 Antitrust formal files JSaltzman ASLBP ASLAB JRutberg LDewey Case file

Dear Nr,

Attorney General:

Re:

Florida Power 8 Light Company (St. Lucie Nuclear Generating Station, Unit Ho. 2)

HRC Docket Ho. 50-389A By application dated June 5, 1980, Florida power 6 Light Company (FPSL) seeks to have Construction Permit No.

CPPR-144 for the St. Lucie Nuclear Generating Station, Unit Ho.

2 amended to include the City of Orlando, Florida and Orlando Utilities Commission (collectively "Orlando" ) as co-owners of this nuclear unit.

The relationship between the City of Orlando and the Orlando Utilities Commission is that the Orlando Utilities Commission is a part of the government of the City of Orlando but ff;tie to real estate is normally taken in the name of both the City of Orlando and the Orlando Utilities Commission.

Enclosed with this application is information concerning Orlando submitted pursuant to 10 C.F.R, SS 2.101(a)(5),

50.33a, and 10 C.F.R., Part 50, Appendix L 'of the HRC regulations and Regulatory Guide 9.2.

This information is being transferred to afford you an opportunity to render such advice to the Commission as you determine to be appropriate in regard to the findings to be made by the NRC pursuant to Section 105(c)(5) of the Atomic Energy Act of 1954, as amended.

Sincerely,

Enclosure:

Information Requested by the Attorney General for Antitrust Review Howard K. Shapar Executive Legal Director pro 4

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