ML19294B230

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Apologizes for Speaking About Being Forced Into Difficult Discovery Schedule.Difficuty Arose from Original 800216 Discovery Deadline Affecting Continuation of Previously Scheduled Depositions
ML19294B230
Person / Time
Site: Three Mile Island Constellation icon.png
Issue date: 02/15/1980
From: Adler T
WIDOFF, REAGER, SELKOWITZ & ADLER
To: Smith I
Atomic Safety and Licensing Board Panel
References
NUDOCS 8002280026
Download: ML19294B230 (1)


Text

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3 WIDOFF REACER SELKOWITZ & ADLER, Pc ATTORNEYS AND COUNSELLORS AT LAW 3552 OLD CETTYSBURG ROAD CAMP HE.L. PENNSYLVANIA 17011 717 763-1383 ,

REPLY TO:

POST OFFICE BOX 1547 HARRISBURC. PENN5YLVAN1A 17105 MM A ADLER SL9TE 540 DAVO W. REACER 2000 L STREET. N W LARRY B SELKOW1TZ W ASHINCTON. D C. 20036 MARK P. WOOrr 202 65 4 3232 February 15, 1980 OJ "$fCOESl'"

o 9 coG 950 2 .g i Ivar W. Smith, Chairman 4 909 7 m Atonde Safety & Licensing Board

% N<3 --

U.S . Nuclear Regulatory Commission #

e'A 'p y f Washington, DC 20555 1 Re: Metropolitan Edison Company (Three Mile Island Unit No.1 - Restart)

Docket No. 50-289  :

Dear Chairman Smith:

At the special pre-hearing conference, I spoke about being forced by Licensee's counselinto a difficult deposition schedule. Although we were, in effect, forced into that schedule, it was not because of Licensee's counsel but, rather, arose from the uncertainty as to whether the original February 16, 1980 discovery deadline would permit us to continue previ-ously scheduled depositions after that date. To the extent that Licensee's ,

counsel was maligned by my statements, I apologize to him and to this Board.

  • We have always had an excellent working relationship with counsel for the Licensee, and hope to continue that relationship in the future.

Very t . ' yours ,

[heodore A. Adler TAA/ack cc: Caorge F. Trowbridge, Esouire POn2g g901(o