ML19256G359

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Opposition to Applicant 791218 Motion for Protective Order. Order Filed Inadvertently & Conflicts W/Previously Agreed to Terms.Intervenor Willing to Consider Modifying Agreement
ML19256G359
Person / Time
Site: South Texas, Comanche Peak  Luminant icon.png
Issue date: 12/19/1979
From: Poirier M
BROWNSVILLE, TX, SPIEGEL & MCDIARMID
To:
Atomic Safety and Licensing Board Panel
References
NUDOCS 7912310161
Download: ML19256G359 (4)


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UNITED STATES OF AMERICA NUC LEAR REGULATORY COMMISSION In the Matter of ) Docke t Nos . 50-498A 50-499A HOUSTON LIGHTING AND POWER CO. , 6 M et al. 4

/ )y (South Texas Project, Units b 1 and 2) 2,6 --

2 3 TEXAS UTILITIES GENERATING Dc T a t Nos . 50-4 4 5A COMPANY, e t al . p 50-446A

)

(Comanche Peak Steam Electric y p Station, Chits 1 and 2)

RESPONSE OF THE PUBLIC UTILITIES BOARD OF THE CITY OF BROWNSVILLE, TEXAS TO TEXAS UTILITIES' MOTION FOR MODIFIED PROTECTIVE ORDER Counsel for Texas Utilities Generating Company

("TU") advised us yesterday that it had inadvertently filed by mail a proposed protective order that dif fers materially f rom the terms of the draf t order previously agreed to be t-ween TU and the Public Utilities Board of the City of Brownsville , Texas ("Brownsville") on treatment of TU's con-fidential documents; and that the filing inadvertently repre-sented to the Board that Brownsville did not oppose these changes. Brownsville in fact had not agreed to the proposed order, and indeed objects to several of the changes proposed by TU. (We have not yet received the proposed order as mailed and are working from our first and only notice of TU's proposed changes , a telecopy draf t we received Friday, December 14, 1979.) . lbbl 329 7912310) C l

The agreement which we believed we had reached with TU was negotiated, at TU's request , over a period of months ,

af ter the Board issued an order (March 23, 1979) overruling TU's objections to Brownsville's document requests and requiring TU to produce responsive documents without any mention of a protective order.

Susan White, a paralegal with Spiegel & McDiarmid, pursuant to authorization by and under the supervision of attorneys with this firm, discussed this matter with counsel for TU over a number of months . Counsel for TU has now suggested that the agreement which he seems to concede he had made is somehow vitiated because it was negotiated, on behalf of Brownsville , primarily by a paralegal rather than by an attorney. Brownsville had been under the impression that an agreement was an agreement. TU also raised no objection to our November and December discovery status reports (dated November 8,1979 and December 5,1979) which mentioned the ongoing protective order negotiations and the resulting agreement.

Brownsville does not seek to put before the Board at this time substantive argument on its disagreements with TU's current draft of its proposed changes, since we are con-tinuing to attempt to resolve our differences and indeed ,

1661 330

~ are not yet in receipt of this current proposal. Apparently, however, TU no longer finds the terms of its agreement acceptable.

We understand part of the problem to be that TU has discovered its agreement with Brownsville conflicts with the terms of agreements it has made with certain fuel suppliers to protect the " confidentiality" of its fuel supply arrange-ments. Brownsville is yet again willing to consider reaso-naole changes. Considering that the issue of confidentiality was under discussion from April through November,1979, and was specifically limited to fuel contracts , however ,

Brownsville believes that it is justified in observing that it would have expected TU to discover the conflict before now.

Until the last five days , it had been our understanding that TU intended to move the Board for the pro-tective order agreed upon, but that in the meantime discovery could go forward in conformity with the agreement.

Accordingly, Brownsville conducted .;s discovery at the TU companies during the end of November , under the understanding that confidential documents would be treated in accordance with the agreement. None of the requested documents (including documents asserted to contain confidential information) have been received as yet. In its December:- 5, 1979 monthly status report concerning progress in discovery, Brownsville noted it had conducted discovery during November and appended a copy of the draft protective order.

1661 33l

We understand counsel for TU contacted Mr. Wolfe of this Board by telephone yesterday af ternoon at our requesc ,

informed him that the filing of the proposed protective order was an error, and 'equested tha t the Board not take action on it at this time. Brownsville respectfully joins in that request.

Respectf ully submitted ,

b7 b C4 LLL, Marc R. Poirie r Attorney for the Public Utilities Board of the City of Brownsville , Texas Law Offices Of:

Spiegel & McDiarmid 2600 Virginia Avenue, NW Washing ton , D.C . 20037 (202) 333-4500 December 19, 1979 1661 332

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