ML19276F920
| ML19276F920 | |
| Person / Time | |
|---|---|
| Site: | Rancho Seco |
| Issue date: | 11/08/1978 |
| From: | Marrone J AMERICAN NUCLEAR INSURERS |
| To: | Saltzman J Office of Nuclear Reactor Regulation |
| References | |
| NUDOCS 7904250359 | |
| Download: ML19276F920 (5) | |
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BURT C.PROOM.CPCU Pmident November 8,1978 Mr. Jerome Saltzman, Deputy Chief Office of Antitrust & Indemnity Directorate of Licensing U.S. Nuclear Regulatory Commission Washington, D.C. 20555
Dear Mr. Saltzman:
Re: New Claim Mark Webb vs.
Sacramento Municipal Utility District NF-212 MF-75 We wish to inform you that SMUD has reported a claim to us brought by Mr. Mark Webb, who appears to have been an employee of a con-tractor to SMUD.
The alleged exposure appears to have taken place at the Rancho Seco nuclear plant site and the allegations claim both " excessive radiation" exposure and exposure to asbestos particles.
A copy of the claimant's Application to SMUD for relief is enclosed for your information.
Vkrytrulyyours, QW Jose rrone V/ ice President &
ene al Counsel JM/jr Enclosure SF-303.8.37 1
THIS DOCUMENT CONTAINS POOR QUAUTY PAGES 7904250 36#/
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i VANTASSELL,FORNASERO T,VANTASSELL,INC...
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8 In the Matter of the Proposed
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. APPLICATION TO PRESENT
, Claim of MARK WEBB against the
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CLAIM UNDER SECTION 9 !SACRM1 ENTO MUNICIPAL UTILITY
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9..14.OF THE GOVERNMENT
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CODE DISTRICT 10 11 TO:
SACRAMENTO MUNICIPAL UTILITY,DISTRICTi 12 1.
VANTASSELL, FORNASERO & VANTASSELL, INC., a Professional 13 Corporation, Attorneys at Law, the undersigned, acting.on behalf 14 of and as attorneys for claimant above-named, apply for leave to 15 present a claim under Government Code Section 911.4.
The claim 16 is founded on a cause of action for negligence whi~ch was discovered 17 by plaintiff on or about June 9, 1978, and for which a claim was 18 not presented within the 100 day period provided by Government 19 Code Section 911.2.
The circumstances relating to the cause of 20 action are set forth on the Proposed Claim attached hereto and 21 incorporated herein by reference.
22 2.
The reason for the delay in presenting this claim 23 is through. mistake, inadvertence, and excusable neglect in that 24 claimant was suffering from injuries sustained as a result of 25 thp negligence of defendant during the period specified by 26 Government Code Section 911.2 for presentation of claim herein by 27 reason of this disability, the neglect, mistake and inadvertence 28 in the past part of claimant, claimant failed to present a claim I
during that period.
2 3.
The Sacramento. Municipal Utility District could not be 3
prejudiced by failure to present this claim within the 100 da~y 4
period because the matters complained of in said claim were 5
known SMUD at all times, and there was a deliberate failure to 6
disclose conditions to claimant.
7 4.
This application is presented within a reasonable 8
time af ter the accrual of this cause of action.
9 WHEREFORE, it is respectfully requested that this applica-10 tion be granted and that the attached proposed claim be received 11 and acted on in accordance with Government Code Section 912.4 12 and 912.8.
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October 4, 1978.
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PROPOSED CLAIM AGAIUST THE SACRAMENTO MUNICIPAL UTILITY DISTRICT TO:
SACRAMENTO MUNICIPAL UTILITY DISTRICT:
1.
The claimant's name and post office address are as follows:
MARK WEBE, 8665 Florin Road, #90, Sacramento, California.
2.
I desire notices to be sent to the following post office address:
VANTASSELL, FORNASERO & VANTASSELL, INC., 917 G Street, Sacramento, California 95814.
3.
The date, place and other circumstances of the occurrence or transaction that gave rise to this claim are as follows:
'N Claimant was employed by third parties in late summer
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and fall of 1977 for work and repairs on property owned or controlled by Sacramento Municipal Utility District.
At said time and place and because of negligent control, management, warning, maintenance of said property, claimant was exposed to excessive radiation, and was further exposed to asbestos particles.
As a result of the negligence of the defendants, and each of them, claimant has sustained persor.al injuries.
Claimant was not aware of nor informed of the cause or possible cause of said condition until June, 1978.
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4.
A general description of the injury and damages incurred so far as it is now known is as follows:
Claimant was rendered disabled, was required to incur medical expenses, and will be required to incur additional medical expenses in the future.
5.
The name or names of the public employee or employees causing the injury and damages are not presently known to claimant at this time.
6.
The amount claimed as of the date of presentation of this claim is $100,000.00, which includes an estimated $5,0.00.00 in redical expenses for claimant and $95,000.00 for general damages.
7.
The basis of computation of the claimed amount is as follows:
An estimated $5,000.00 for medical expenses of claimant, and $95,000.00 for general damages.
8.
I, VANCE J. VANTASSELL, an attorney with the lawfirm of VANTASSELL, FORNASERO & VANTASSELL, INC.. a Professional Corporation, present this claim on behalf of the tilalm}nt above
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