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Category:Legal-Correspondence
MONTHYEARML0404200352004-01-30030 January 2004 FTI Consulting Inc. Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for December 1, 2003 to December 31, 2003 ML0235701142002-11-25025 November 2002 E-Mail from John E. Matthews Tothomas Saporito Informing That the Licensing Board'S Telephone Conference Is Scheduled at 11:00 Am Eastern Standard Time, 9:00 Am Mountain Standard Time ML0235701212002-11-25025 November 2002 E-Mail from Thomas Saporito to the Licensing Board and Parties Advis That the National Environmental Protection Center Was Unable to Connect to the Scheduled Teleconference on 11/25/2002 ML0232904072002-11-22022 November 2002 11/22/2002 - Letter to the Administrative Judges Enclosing Letter Dated, 11/22/2002 Advising That NRC Staff Does Not Oppose Licensee'S Withdrawal of 09/26/2002 License Amendment Application Pertaining to Section 5.5.9 of the Tech. Specs ML0233300792002-11-20020 November 2002 Letter from John E. Matthews to Thomas Saporito Requesting That Further Communications with Arizona Public Service Company (APS) Should Be Directed to Morgan Lewis and Not to Individual Managers or Employees of APS ML0235103292002-11-20020 November 2002 Letter from Thomas Saporito to John E. Matthews Acknowledging Receipt of 11/20/2002 Letter Certain and Specific References to National Environmental Protection Center'S Letter of 11/09/2002 ML0232505182002-11-0909 November 2002 Letter from Thomas Saporito to Gregg R. Overbeck Requesting Permission to Conduct a Random Sampling of Interviews with Employees at the Palo Verde Nuclear Generating Station to Learn About the Work Environment There ML0235103602002-11-0808 November 2002 Letter from John E. Matthews Requesting That Further Service on Arizona Public Service Company (APS) Be Made to Aps'S Director of Law Department, Jane Smith Mueller, Esq., in Lieu of Service to Nancy C. Loftin, Esq ML0235103612002-11-0808 November 2002 Letter from John E. Matthews Providing Correct Address for Janet Smith Mueller, Esq ML18192B2491977-07-0808 July 1977 It Is Requested That Construction Permit Be Amended by the Deletion from the Caption of Each of Said Permits the Reference to Arizona Electric Power Cooperative, Inc. as an Applicant ML18192A4471976-04-24024 April 1976 Certificate of Service Giving Authorization to Conduct Limited Work Activities for Local Officials to the Director of Nuclear Reactor Regulation ML18219A5431976-02-10010 February 1976 Forwards Reply to the Archaeology and Historic Site Comments from Dept. of Interior of Jan. 15, 1976 ML18192A2141976-01-16016 January 1976 Pursuant to the Notice of Availability of the Draft Supplement to Final Environmental Statement Dated Nov. 25, 1975, 40 Copies of the Applicant'S Comments to Such Draft Supplement Are Submitted ML18192A2151976-01-16016 January 1976 Pursuant to the Notice of Availability of the Draft Supplement to Final Environmental Statement Dated Nov. 25, 1975, 40 Copies of Applicant'S Comments to Such Draft Supplement Are Enclosed ML18192A3411976-01-12012 January 1976 Figures 1 Through 12 to Opening Statement of Edwin E. Van Brunt, Jr ML18192A7911975-12-26026 December 1975 12/26/1975 Legal Correspondence Withdrawal of Carmine F. Cardamone, Jr. as Intervenor in Proceedings ML18192A7881975-12-19019 December 1975 12/19/1975 Legal Correspondence Withdrawal of Arizona Clean Energy Coalition as Intervenor in Construction Permit Hearings ML18192B2761975-10-21021 October 1975 Certificate of Service Showing Service for Antitrust Review by the Attorney General, Served Upon Mr. Hugh K. Clark ML18192A7531975-08-29029 August 1975 Response to Board'S Order of 07/21/1975 Requesting Each Party to File Report Indicating Status of Discovery ML18192A8261975-08-29029 August 1975 Response to Board'S Order of 07/21/1975 Requesting Each Party to File Report Indicating Status of Discovery ML18192A8291975-08-29029 August 1975 Notice of Service of Interrogatories ML18192A7511975-08-0808 August 1975 Notice of Taking Deposition. Notice That Deposition Will Be Taken Upon Oral Examination of Kevin Dahl at Law Offices of Snell & Wilmer ML18192A6801975-06-30030 June 1975 06/30/1975 Legal Correspondence Request for Exhibits & List of Witnesses ML18192A6811975-06-19019 June 1975 06/19/1975 Legal Correspondence Adoption of Sub-Part I After Issuance of Draft Environmental Statement ML18192A6821975-06-16016 June 1975 06/16/1975 Legal Correspondence Request for Copies of Subpart I & Project Independence Blueprints - Final Task Reports ML18192A6701975-02-10010 February 1975 Request for Order Requiring Petitioner to Cure Petition Defects as Respects NRC Rules of Practice 2004-01-30
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I Ms. Barbara" E. Fisher, Esq.
Arizona Public Law Advocates
.201 Nort:h Stone Avenue, Suit:e 210 Tucson, Arizona 85701 >
JUL 7 1375 Re: APS v. PVNGS O(fKI, I( ILY IVOICIY LICITIl, ~ C Selvile
$ TCliOII
Dear Barbara:
7" This is to confirm our telephone conversation of ap-proximat:ely two weeks ago when it was agreed that you would fur-nish names of all witnesses that Intervenor ACEC intends to use in the above proceedings, by no later than August 1, 1975. That is, the list 'of wit:nesses and ot:her information requested regard-ing witnesses will be in our hands no later than August l.
I am unable to accept: your offer .to agree to the same arrangement as to a request for exhibits which you intend to use.
I understand your problem in retaining experts to come and testify at the hearing. I do not understand, however, why you are unable to it:emize those exhibits which you intend to use at the hearing, particularly in light of the innumerable references to document:s in t.he Arizona Clean Energy Coalition's statement and comments on t:he Graft EnvirnnmcnLal Statement in this maLt:cr, which was'signed by Donald Osborn, DirecLor of ACEC. That document: is laced wi't;h references to other document:s as arc your other answers to int:cr-rogat:ories. It would simply seem t:o be a ministerial task to draw together the informat:ion we have requested as to potential exhibits.
tion of
'As you know, documents you it intend is impossible for us to request produc-to use as exhibits until you furnish us wit:h .a list. of: same. .We would't:herefore appreciate your fur-
~ l f
Ms. Barbara E. Fisher, L'Sq.
June 30, 1975.
Page Two nishing us with a list at your earliest convenience in order to avoid the necessity of filing motions with the Board to accom-plish obviously permissible discovery.
Thank you in advance for your cooperation.
Very truly ours, Bruce Norton BN:ms CC Daniel M. llead, Chairman Dr. Marvin M. Mann Dr. Quentin J. Stober Thomas M. Bruen, Hsq.
Michael N. Grainey, Esp.
Andrew N. Bettwy', Assistant Attorney General Mr. Carmine F. Cardamone, Jr.
Atomic Safety and Licensing Appeal Board Atomic Safety and Licensing Boar+ Panel Docketing and Service Section ~