ML19256B445
| ML19256B445 | |
| Person / Time | |
|---|---|
| Site: | Zimmer |
| Issue date: | 05/30/1979 |
| From: | Rigberg S MIAMI VALLEY POWER PROJECT |
| To: | |
| References | |
| NUDOCS 7907110131 | |
| Download: ML19256B445 (4) | |
Text
gE1ATED COryssPOWN NRC PUBLIC DOCMMI E00M e-COCrr t3 LNITED STATES OF NJERICA 9
UNG M
h1CIEAR RELIATOIN GINISSIG JUN b 1974)
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In the Matter of
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N
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CINCINNATI GAS AND ELECTRIC
)
co 01!PANY, et al.
)
Docket No. 50-358
)
( b. H. Zimner Nuclear Power
)
Station, Unit No. 1)
)
MIAMI VAILEY PWER PIOJECT'S ANSWERS 'IO CERTAIN OF NRC'S INTERROGA'IDRIES 13.
Identify by name and address all expert witnesses which MVPP intends to use at the bearing to substantiate contention 14.
Mr. Edwin Hofstadter, 20 Aquilla, Florenct, Ky 14.
Sunmarize the testirony of all expert witnesses which MEPP intends to use at the hearing to substantiate its contention 14.
Mr. Hofstadter will give testirony regarding the lack of certification of the welders who welded the three piece vertical fittings on the cable trays.
He will testify that it was his job to check the test pieces made by the welders for the certification tests. He will give testimony regarding the incentive systen and how that affects the quality of the welds.
He will give testimony regarding the lack of fusion in the welds.
15.
Set forth the qualifications of all expert witnesses which the MVPP intends to use to substantiate its contention 14.
Mr. Hofstadter uns Manager of Industrial Engineering for Husky Products, Inc. for five and one half years prior to that worked on quality control programs for twenty years at Bendix Corp. and American Standard.
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24.
Identify by name and address al: expert witnesses which mTP inter.ds to use at the hearing to substantiate Conteation 15.
MPP will not call any expert witnesses to testify regarding contention 15.
Becntiec the purpose of the licensing proceedings is to detennine whether or not all specifications have been met, kWPP will only present evidence which shcus that the specifications with regard to control rods were not met.
'Ihis will be done by testimony of non-experts.
25.
Sinmarize the testimony of all expert witnesses which m'PP intends to use at the hearing to substantiate its Contention 15.
See answer to 24.
2G.
Set forth the qualifications of all expert witnesses which the ANPP intends to use to substantiate its Contention 15.
See answer to 24.
41.
Identify by name and address all expert witnesses which m'PP intends to use at the hearing to substantiate its Contention 16.
E7PP will not call any expert witnesses to testify regarding Con'tention 16.
See answer to 24 for reasons.
42.
Sinmarize the testing of all expert witnesses which LNPP intends to use at the hearing to substantiate its Contention 16.
See answer to 41.
43.
Set forth the qualifications of all expert witnesses which hWPP intends to use to substantiate its Contention 15.
See answer to 41.
836 159
CO '
Os imTED CORRE.SPONDDQ s
(a VERIFICATION cwco W1hAC AUtl 51973 >
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i s sg;,t%W IP e
WM State of Ohio
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f ss County of Hamilton) p Saul A Rigberg, being first duly sworn, states that he has been duly authorized to execute, verify and file the answers to the NRC Staff interrogatories to Miami Valley Pcrxer Project, that be has read the contents of same and that the statenents contained therein are tnie and correct to his best infonnation, knowledge and belief.
EJ2 A Gas Saul A. Rigberg" Subscribed and sworn to before me this h
day f May, 1979.
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LJ 7.1ARY E. ROLFES 74 u, /7,
/ M[I_4 -
hetary Putac snte et on:o Notary Public / '
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vie-em-wnum y
835 160
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ratTD CO'_"ISP 'T7i' e b
UNITED STATES OF N.' ERICA cocxmo' NUCLEAR REGL'IAIORY (IX.NISSION k
n JUN 51974 >
9 WRC In the Matter of
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y
)
/
The Cincinnati Gas & Electric
)
Docket 50-358 Cu g
Cai:pany, Et al.
)
)
(William H. Zinmer Nuclear
)
Power Station)
)
CERTIFICATE OF SERVICE I hereby certify that a copy of Miami Valley Power Project's Answers to Certain of NRC's Interrogatories uns served by regular U.S. Mail this 30 day of May, 1979 on:
Charles Bechhoefer, Esq.
Dr. Frank F. Hooper, Richard S. Sal 2 man, Esq.
Dr. Inwrence R. Quarles Mr. Glenn O. Bright Chaimin, Atcmic Safety and Licensing Board Panel Chairman, Atanic Safety and Licelsing Appeal Board Charles A. Barth, Esq.
William J. Moran, Esq.
Mr. Chase R. Stephens Michael C. Farrar, Esq.
William Peter Heile, Esq.
John D. Woliver, Esq.
Conner, Moore & Corber Irah Kosik 835 161
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