ML19321B069

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Forwards State of or 770311 Petition to Intervene,Nrc 770801 Stipulation W/Portland General Electric & State of or & ASLB 770920 Order Ruling on Contentions.Documents Intended to Serve as Examples for Drafting Contentions.W/O Encls
ML19321B069
Person / Time
Site: 07002909
Issue date: 07/23/1980
From: Sherwin Turk
NRC OFFICE OF THE EXECUTIVE LEGAL DIRECTOR (OELD)
To: Allred D, Mcphillips J
AFFILIATION NOT ASSIGNED
References
NUDOCS 8007250456
Download: ML19321B069 (2)


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4 UNITED STATES

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1 NUCLEAR REGULATORY COMMISSION j

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WASHINGTON, D. C. 20555 o, 5 C

July 23, 1980 Julian L. McPhillips, Jr., Esq.

David L. Allred, Esq.

P. O. Box 64 231 Oak Forest Drive 516 South Perry Street Montgomery, AL 36109 Montgomery, AL 36101 In the ihtter of Application of Westinghouse Electric Corporation for a Special Nuclear Material License for the Alabama Nuclear Fuel Fabrication Plant (ANFFP) to be Located Near Prattville, Alabama Docket No. 70-2909

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Gentlemen:

Enclosed please find a copy of the following:

(1)

Petition for Leave to Intervene and Request for Hearing filed by the State of Oregon in Portland General Electric Co. (Trojan Nuclear Power Plant), Docket No. 50-344, dated TErch 11, 1977, together with Affidavit of Donald W. Godard in support thereof; (2)

Stipulation filed by the NRC Staff, Portland General Electric w

Co. and the State of Oregon in the above-mentioned proceeding, dated August 1, 1977, together with Attachments A and B there-to; and l

(3)

Order issued by the Licensing Board, ruling on contentions in the above-mentioned proceeding, dated September 20, 1977.

These documents are being forwarded to you in accordance with our conference call of July 17, 1980, and are intended to serve as examples for your use in drafting contentions in this proceeding. Please note that Attachment A to the enclosed Stipulation contains contentions which the NRC Staff considered to be sufficient to satisfy the regulatory requirements for contentions, whereas-Attachment B to the Stipulation contains contentions which the NRC Staff and/or the' Applicant in that proceeding did not consider to meet the

. regulatory requirements; the Licensing Board in that proceeding admitted al1~of the contentions contained in Attachment A and some of the contentions r

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contained in Attachment B.

You may also wish to note that affidavits in support of contentions are no longer required under the Commission's regula-tions.

Please do not hesitate to contact me if I may be of further assistance to you.

Sincerely, t.CAu)/E) W Sherwin E. Turk Counsel for NRC Staff

Enclosures:

As stated cc w/encls: Barton Z. Cowan, Esq.

cc w/o encls: Rest of Service List O

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