ML19320D627

From kanterella
Jump to navigation Jump to search
Forwards NRC Objections to State of Il 800711 Notices of Depositions & Request for Production of Documents.Nrc Will Not Object to Untimely Motions If Filed During Discovery Phase
ML19320D627
Person / Time
Site: 07001308
Issue date: 07/18/1980
From: Rothschild M
NRC OFFICE OF THE EXECUTIVE LEGAL DIRECTOR (OELD)
To: Sekuler S
ILLINOIS, STATE OF
Shared Package
ML19320D628 List:
References
NUDOCS 8007220009
Download: ML19320D627 (1)


Text

_

A g* E'c er v

o UNITE D S T AT Es e

[ h.,(

NUCLEAR REGULATORY COMMISSION 9y WASW NG TO N, D. C. 20.55

%*w ]

July 18,1980 VIA EXPRESS MAIL Susan N. Sekuler, Esq.

Assistant Attorney General Environmental Control Di' vision 188 West Randolph, Suite 2315 Chicago, IL 60601 In the Matter of General Elect.ric Company (GE Morris Operation Spent Fuel Storage Facility)

Docket No. 70-1308 (Renewal of SNM-1265),

Dear Ms. Sekuler:

As I stated in our telephone conversation of July 16, 1980 and in my con versation of July 17, 1980, with Mr. Van Vranken, the NRC Staff objects to Illinois' notices of deposition and requests for the production of docu-ments dated July 11, 1980 and does not intend to make the requested Staff personnel available on the requested dates for the requested deposition.

The Staff's basis for its objection to these notices is set forth in the attached document. As the' Staff states in footnote 4 on page 5, if we are not able to reach an informal agreement concerning the deposition of Staff N

personnel and you, determine to bring this matter before the Licensing Board by means of a motion to compel, the Staff will not object on the grounds of untimeliness to any such motion filed during the discovery phrase of the proceeding.

Sincerely,-

Ahch Lllius OiUwebM Marjorie Ulman Rothschild Counsel for NRC Staff

Attachment:

As stated cc w/ attachment: Service List 8007220 Ok

.