ML19289D985

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Interrogatories to Davidson College Chapter of Nc Pirg Per ASLB 790223 Order & Aslab 790226 Order.Certificate of Svc Encl
ML19289D985
Person / Time
Site: 07002623
Issue date: 03/06/1979
From: Ketchen E
NRC OFFICE OF THE EXECUTIVE LEGAL DIRECTOR (OELD)
To:
Shared Package
ML19289D982 List:
References
NUDOCS 7903210237
Download: ML19289D985 (5)


Text

U:11TED STATES OF AMERICA NUCLEAR REGULATORY COMMISSIO!i BEFORE THE ATOMIC SAFETY AND LICENSING E0ARD In the Matter of DUKE POWER COMPAt4Y

)

Docket No. 70-2623

)

(Amendment to Materials License

)

SNM-1773 for Oconee i;uclear Station

)

Spent Fuel Transportation and Storage )

at McGuire Nuclear Station)

)

NRC STAFF INTERROGATORIES TO TI:E DAVIDSON COLLEGE CHAPTER OF THE NORTH CAROLINA PUBLIC INTEREST RESEARCH GROUP (PIRG)

Pursuant to 10 CFR 52.740(b), the NRC Staff serves the follcwing interrogatories on PIRG, Intervenor, in accordance with the Licensing Board's Order of February 23, 1979 and the Atomic Safety and Licensing Appeal Board's decision of February 26,1979.E l '.

With respect to each of your contentions:

(a)

State the name, business and resident address of each person expected to be called as an expert witness at the evidentiary hearing; (b) With respect to each person named in response to interro-gatory 1(a), state the subject matter on which that person is expected to testify; and

_1/ Duke Power Comoanz (Amendment to Materials License SNM-1773 --

Transportation of Spent Fuel from Oconee Nuclear Station for Storage at McGuire Nuclear Station), ALAE-523, Slip. Op. p. 3 (February 26, 1979).

790321Uh (c) With respect to each person nameo in response to interro-gatory 1(a), state:

(1) which contention (s) will be addressed, (2) the substance of that person's testimony, and (3) what you expect the testirrony to prove.

2.

With respect to each of your contention: l (a)

State the name, business, and resident address of any person expected to be called as a witness at the evidantiary hearing except those already identified in response to interrogatory 1; (b) With respect to each person named in response to interrogatory 2(a), state the subject matter on which that person is expected to testify; and (c) With respect to each person named in response to interro-gatory 2(a), state; (1) which contention (s) will be addressed, (2) the substance of that person's testimony, and (3) what you expect the testimony to prove.

Section 2.740(e) of the Commission's Rules of Practice states that a party is under a duty seasonably to supplement his response with respect to questions directly addressed to (i) the identity and location of persons having knowledge of discoverable matters and (ii) the identity 2/ Ibid.

of each person expected to be called as an expert witness at the hearing, the subject matter on which he is expected to testify, and the substance of his testimony; and to seascnably amend a prior respcose if he obtains information that the response was incorrect when made, or he knows that the response though correct when made is no longer true, and the circumstances are such that failure to amend the response is in substance a knowing concealment.

Respectfully submitted,

~

~ ~_

Edward G. Ketchen Counsel for NRC Staff Dated at Bethesda, Maryland this 6th day of March,1979.

UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BCARD In the Matter of

)

)

DUKE POWER COMPANY

)

Dccket No. 70-2623

)

( Amendment to Materials License

)

SNM-1773 for Oconee Nuclear Station

)

Spent Fuel Transportation and Storage )

at McGuire Nuclear Station)

)

CERTIFICATE OF SERVICE I hereby certify that copies of "NRC STAFF INTERROGATORIES TO CAROLINA ENVIRONMENTAL STUDY GROUP (CESG)", "NRC STAFF INTERROGATORIES TO CAROLINA ACTION'NECNP'" and "NRC STAFF INTERROGATORIES TO THE DAVIDSON COLLEGE CHAPTER OF THE NORTH CAROLINA PUBLIC INTEREST RESEARCH GROUP (PIRG)" dated March 6, 1979, in the above-captioned proceeding, have been served on the following, by deposit in the United States mail, first class, or, as indicated by an asterisk through deposit in the Nuclear Regulatory Conmission's internal mail systen, this 6th day of March,1979:

  • Marshall E. Miller, Chairman Ms. Brenda Best Atomic Safety and Licensing Board Carolina Action U.S. Nuclear Reaulatory Commission 1740 E. Indeoendence Blvd.

Washington, D. C.

20555 Charlotte, North Carolina 28205 Dr. Cadet H. Hand, Jr., Director Anthony Z. Roisman, Esq.

Bodega Marine Laboratory Natural Resources Defense Council University of California 91/ - 15th Street, N.W.

P.O. Box 247 Washington, D. C.

20005 Bodega Bay, California 94923 9Dr. Emmeth A. Luebke Atomic Safety and Licensing Board U.S. Nuclear Regulatory Commission Washington, D. C.

20555 Shelley B lum, Esq.

W. L. Porter, Esq.

418 Law Building Associate General Counsel 730 East Trade Street Legal Department Charlotte, North Carolina 28202 Duke Power Company 422 South Church Street J. Michael.cGarry, III, Esq.

Charlotte, North Carolina 28242 Cebevoise & Liberman 1200 Seventeenth Street, N.W.

Washington, J. C.

20036

F Atomic Safety and Licensing Appeal Board Mr. Charles Gaddy U.S. Nuclear Regulatory Cc.mnission P. O. Box 2501 Washington, D.C.

20555 Davidsen College Davidson, N.C.

28036 Atomic Safety and Licensing Board Panel U.S. Nuclear Regulatory Commission Washington, D. C.

20555

  • Docketing and Service Section U.S. Nuclear Regulatory Commissicn Washington, D. C.

20555 Mr. Jesse L. Riley, President Carolina Environmental Study Group 854 Henley Place Charlotte, North Carolina 28207 Richard P. Wilson, Esq.

Assistant Attorney General State of South Carolina 2600 Bull Street Columbia, South Carolina 29201

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Edward G. Ketchen Counsel for NRC Staff