ML20009E453
| ML20009E453 | |
| Person / Time | |
|---|---|
| Site: | Bailly |
| Issue date: | 07/24/1981 |
| From: | Lewis S NRC OFFICE OF THE EXECUTIVE LEGAL DIRECTOR (OELD) |
| To: | Vollen R BUSINESS & PROFESSIONAL PEOPLE FOR THE PUBLIC INTERES, VOLLEN, R.J. & WHICHER, J.M. |
| References | |
| NUDOCS 8107280220 | |
| Download: ML20009E453 (2) | |
Text
. _ - _ _ _ _ _ _
1 July 24, 1981 Robert J. Vollen, Esq.
c/o BPI g\\Fild$
109 Ilorth Cearborn Street
( fl,.u.
, )h, Chicago, IL 60602
,p r
u, In the liatter of JULn7ggg)
'2' fiorthern Indiana Public Service Coq 8n
~
(Bailly Generating Station, fluclear u.s. gaj@^' " 3.'
Docket 11o. 50-367 g
(Construction Pemit Extension) f
Dear fir. Vollen:
This, letter and its enclosures completes our response to " Porter County Chapter Intervenors' Second Request to the flRC for Production of Docunents" (liay 19, 1981). This response addresses paragraphs 4-9 and 12 of your Second Request, which pertain to documents cited in or relied upon in our responses to " Porter County Chapter Intervonors' First Set of Interrogatories to the itRC." The paragraphs of your Second Request not related to your interrogatories were the subject of our letter (with enclosures) of June 25, 1981.
Enclosed are docuacnts responsive to paragraphs 4, 7, 8 and 12 of your Second Request which a diligent search of our files has revealed. The docuacnts are grouped according to the paragraph nunber of the request to which they are responsive, ilo docunents are provided in response to paragraphs 5, 6 and 9.
The "f1RC Staff Evaluation of the Request for an Extension of Construction Pernit flo. CPPR-104," which falls within the scope of paragraphs 5 and 6 has been previously transmitted to PCCI.
Since our response to Interrogatory 10 stated that we do not expect to call witnesses other than expert witnesses, there are no docunents provided in response to paragraph 9.
J.
/ O a107280220 010724 PDR ADOCK 05000367 C
PDR OFFICE)
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, The additional documents responsive to paragraph 7 are, as noted in our response to Interrogatory 8(d) part of a file of naterial located in the offices of Louis G. Hulnan in Bethesda, !!aryland.
In view of the large volune of these docuuents, we are now in the process of detemining the best racans of naking these hcunents available to you.
In the neantine, they are available for your inspection and copying in Bethesda.
Sincerely, Stephen 11. Lewis Counsel for NRC Staff
Enclosures:
As Stated cc w/o enclosure:
Herbert Grossman, Esq., Chairnan Robert L. Holton J. Venn Leeds Kathleen H. Shea, Esq.
Edward W. Osann, Jr., Esq.
Robert L. Graham, Esq.
Ceorge and Anna Grabowski John Van Vranken Esq.
Clifford Hezo William H. Eichhorn, Esq.
Atomic Safety and Licensing Board Panel Atonic Safety and Licensing Appeal Board Panel Secretary
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Dist NRC Central LPDR Shapar/Engelhardt Christenbury/Scinto Rutberg Chandler Vogler Chron FF(2)
Lewis Hodgdon ASchwencer s
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