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Category:INTERROGATORIES; RESPONSES TO INTERROGATORIES
MONTHYEARML20049K0821982-03-23023 March 1982 First Interrogatory Re Site Restoration ML20010D1191981-08-18018 August 1981 Objections to Porter County Chapter Intervenors' Third Set of Interrogatories 9,10,11 & 42.Requests Protective Order Providing That No Further Response to Interrogatory 42 Is Required.Related Correspondence ML20010D1181981-08-18018 August 1981 Response to People of State of Il Second Set of Interrogatories.Related Correspondence ML20010D2441981-08-18018 August 1981 Objection to State of Il Second Set of Interrogatories, Interrogatories 12(c),13(b) & 13 (C).Matters Already Reviewed in Original CP Proceeding & Irrelevent to Instant Proceeding.Related Correspondence ML20010D1201981-08-18018 August 1981 Response to Porter County Chapter Intervenors' Third Set of Interrogatories.Related Correspondence ML20010C5911981-08-13013 August 1981 First Set of Interrogatories Directed to NRC ML20010C5901981-08-13013 August 1981 Application for Discovery Directed to NRC Re NRC Staff Evaluation of Bailly CP Extension Request. ML20010C5921981-08-13013 August 1981 First Set of Interrogatories Directed to Util.Certificate of Svc Encl ML20010C1581981-08-11011 August 1981 Seventh Request for Production of Documents,Directed to Util.Related Correspondence ML20010C2481981-08-11011 August 1981 Fifth Request for Production of Documents Directed to Nrc. Related Correspondence ML20010C4921981-08-11011 August 1981 First Request for Production of Documents Directed to NRC ML20010C4971981-08-11011 August 1981 First Request for Production of Documents Directed to Util ML20010C1421981-08-11011 August 1981 Application to ASLB for Discovery on Listed NRC Documents. Certificate of Svc Encl.Related Correspondence ML20010C1531981-08-11011 August 1981 Third Set of Interrogatories Directed to Nrc.Related Correspondence ML20010C2391981-08-11011 August 1981 Fifth Set of Interrogatories Directed to Util.Related Correspondence ML20010B3221981-08-0303 August 1981 Supplemental Answers to Util Second Set of Interrogatories. Lists Some Rare Species Which Could Disappear from Dunes Ecosystem.Change in Shape of Cone of Depression Is Relevant in Determining Water Changes.Certificate of Svc Encl ML20010B3201981-08-0303 August 1981 Answers to Util Third Set of Interrogatories Re Dewatering.Experiences at River Bend Units 1 & 2 & Caorso,Italy Suggest That Water Infiltration Consititutes Problem Needing Remedial Steps.Related Correspondence ML20009H2371981-08-0303 August 1981 Answers & Objections to Util Third Set of Interrogatories Re Const Dewatering,Util Mitigation Plan & Water Tables. Certificate of Svc,Affirmation & 810803 Ltr Encl.Related Correspondence ML20009G9031981-07-31031 July 1981 Amend to Fourth Set of Interrogatories Directed to State of Il.Interrogatories 42(c) & 45(c) Have Incorrect Ref to Other Interrogatories.Related Correspondence ML20009G9011981-07-31031 July 1981 Amend to Fourth Set of Interrogatories Directed to M Warner. Interrogatories 42(c) & 45(c) Have Incorrect Ref to Other Interrogatories ML20009H4891981-07-31031 July 1981 Second Set of Interrogatories Directed to NRC Re Site Dewatering & Replacement Water Levels.Related Correspondence ML20009G9061981-07-31031 July 1981 Amend to Fourth Set of Interrogatories Directed to Businessmen for Public Interest.Interrogatories 42(c) & 45(c) Have Incorrect Ref to Other Interrogatories.Related Correspondence ML20009H4921981-07-31031 July 1981 Fourth Request for Production of Documents Directed to Nrc. Related Correspondence ML20009H4911981-07-31031 July 1981 Fourth Set of Interrogatories Directed to Util Re Site Dewatering.Related Correspondence ML20009G9041981-07-31031 July 1981 Amend to Fourth Set of Interrogatories Directed to Je Newman.Interrogatories 42(c) & 45(c) Have Incorrect Ref to Other Interrogatories.Related Correspondence ML20009G9091981-07-31031 July 1981 Amend to Fourth Set of Interrogatories Directed to Concerned Citizens Against Bailly Nuclear Site.Interrogatories 42(c) & 45(c) Have Incorrect Ref to Other Interrogatories. Related Correspondence ML20009G9101981-07-31031 July 1981 Amend to Fourth Set of Interrogatories Directed to Porter County Chapter Intervenors.Interrogatories 42(c) & 45(c) Have Incorrect Ref to Other Interrogatories.Related Correspondence ML20009G8741981-07-30030 July 1981 Fourth Set of Interrogatories Directed to State of Il Re Basis for Allegations,Identification of Investigations NRC Did Not Perform & Disagreements W/Nrc Evaluation of Request for CP Extension.Related Correspondence ML20009H0451981-07-30030 July 1981 Third Set of Interrogatories Directed to Util.Related Correspondence ML20009G8931981-07-30030 July 1981 Fourth Set of Interrogatories Directed to Porter County Chapter Intervenors Re Basis for Allegations & Disagreement W/Nrc Evaluation of Request of CP Extension.Related Correspondence ML20009G9561981-07-30030 July 1981 First Request for Production of Documents Upon Which Je Newman Relied on in Formulating Contentions.Related Correspondence ML20009G8791981-07-30030 July 1981 Fourth Set of Interrogatories Directed to M Warner Re Basis for Allegations & Basis for Answers Supporting Conclusions That Good Cause Does Not Exist to Extend Cp.Related Correspondence ML20009G8731981-07-30030 July 1981 Fourth Set of Interrogatories Directed to Je Newman Re Basis for Allegations & Disagreements W/Nrc Evaluation of Request for CP Extension & W/D'Appolonia Assessment of Dewatering Influence.Related Correspondence ML20009G9531981-07-30030 July 1981 First Request for Production of Documents Upon Which Businessmen for Public Interest Relied on in Formulating Contentions.Related Correspondence ML20009H0491981-07-30030 July 1981 Fifth Request to Northern in Public Svc Co for Production of Documents Described in Response to Intervenor Third Set of Interrogatories.Related Correspondence ML20009G9451981-07-30030 July 1981 First Request for Production of Documents Upon Which Porter County Chapter Intervenors Relied on in Formulating Contentions.Related Correspondence ML20009G9471981-07-30030 July 1981 First Request for Production of Documents Upon Which Concerned Citizens Against Bailly Nuclear Site Relied in Formulating Contentions.Related Correspondence ML20009G9931981-07-30030 July 1981 First Request for Production of Documents Upon Which M Warner Relied in Formulating Contentions.Related Correspondence ML20009G9501981-07-30030 July 1981 First Request for Production of Documents Upon Which State of Il Relied on in Formulating Contentions.Related Correspondence ML20009G9171981-07-30030 July 1981 Fourth Set of Interrogatories Directed to Concerned Citizens Against Bailly Nuclear Site Re Basis for Allegations & Disagreements W/Nrc Evaluation of Request for CP Extension. Related Correspondence ML20009G8711981-07-30030 July 1981 Fourth Set of Interrogatories Directed to Businessmen for Public Interest,Inc Re Basis for Allegations & Disagreements W/Nrc Evaluation of Request for CP Extension.Related Correspondence ML20009E3061981-07-23023 July 1981 Response Opposing Porter County Chapter Intervenors' 810519 Fourth Request for Production of Documents.Request Is W/O Merit & Should Be Denied ML20009D0441981-07-15015 July 1981 Response Opposing Util Second Motion to Compel Answers to Second Set of Interrogatories.Certificate of Svc Encl ML20009B5391981-07-10010 July 1981 Motion for Extension Until 810803 to File Answers or Objections to Util 810622 Third Set of Interrogatories. Extension Will Not Prejudice Any Party.Certificate of Svc Encl ML20009B7001981-07-0808 July 1981 Response to State of Il First Set of Interrogatories Directed to Util.Certificate of Svc Encl ML20004G1111981-06-22022 June 1981 Third Set of Interrogatories Directed to M Warner Re Permit to Extend Period of Const Dewatering & Proposed Water Replacement Program.Related Correspondence ML20004G1041981-06-22022 June 1981 Third Set of Interrogatories Directed to Je Newman Re Permit to Extend Period of Const Dewatering & Proposed Water Replacement Program.Related Correspondence ML20004G1071981-06-22022 June 1981 Third Set of Interrogatories Directed to State of Il Re Depth of Dewatering Required After Completion of Foundation.Certificate of Svc Encl.Related Correspondence ML20004G1161981-06-22022 June 1981 Third Set of Interrogatories Directed to Businessmen for Public Interest,Inc Re Dewatering Effects on Lakeshore. Related Correspondence ML20005A1021981-06-22022 June 1981 Third Set of Interrogatories Directed to Porter County Chapter of Izaak Walton League of America,Inc Re Permit to Extend Period of Const Dewatering & Proposed Water Replacement Program.Related Correspondence 1982-03-23
[Table view] Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20126M8141985-05-23023 May 1985 Order Denying Business & Prof People for Public Interest Application for Atty Fees Under Equal Access to Justice Act. Commission FY82 Appropriation Act Prohibited Funding of Intervenors.Served on 850523 ML20058J0861982-08-0606 August 1982 Order Holding Intervenor Business & Prof People for Public Interest Request for Award of Atty Fees & Expenses Under Equal Access to Justice Act Until Question of Availability of Funds Solved.Nrc Will Seek Comptroller General Opinion ML20054J0811982-06-18018 June 1982 Notice of ASLB Reconstitution.H Grossman,Chairman & K Mccollom & Rl Holton,Members ML20054F9471982-06-0707 June 1982 Memorandum Supporting Business & Prof People for Public Interest Application for Award of Atty Fees & Expenses ML20053E6801982-06-0404 June 1982 Application for Award of Fees & Expenses Under Equal Access to Justice Act.Fees Requested for Svcs Re Proceedings on Proposed Amend to CP to Extend Completion Date & Proposed Amend to Allow Foundation of Short Pilings ML20053E6821982-06-0404 June 1982 Affidavit of Rj Vollen Re Costs & Legal Svcs Provided ML20053E6831982-06-0404 June 1982 Affidavit of Jm Vollen Re Costs & Legal Svcs Provided ML20053E6851982-06-0404 June 1982 Memorandum of Law Supporting Application for Award of Fees & Expenses Under Equal Access to Justice Act.Proceedings Pending on Effective Date of Act,Party Prevailed & Amount of Fees & Expenses Compensable.Certificate of Svc Encl ML20053E6841982-06-0303 June 1982 Affidavit of Rl Graham Re Reasonable & Customary Charges of Attys ML20052C7281982-04-29029 April 1982 Answer Objecting to & Proposing Mods to ASLB 820412 Memorandum & Order.Objects to Proposed Order Calling for Immediate Termination of Proceedings.No Assurance Util Will Comply If Proceedings Terminated.W/Certificate of Svc ML20050A5201982-03-29029 March 1982 Response Opposing Porter County Chapter Intervenors 820323 Pleading.No Legal Authority Shown for Intervenor Attempt to Exercise NRC Responsibility for Monitoring Compliance W/Aslb Orders.Certificate of Svc Encl ML20049K0791982-03-23023 March 1982 Motion for Leave to Take Limited Discovery.Suppls Position Re Timing of Termination of Proceeding.Util Refusal to Supply Intervenors W/Info Re Compliance W/Aslb 820129 Order Illustrates Need for Jurisdiction.W/Certificate of Svc ML20049K0821982-03-23023 March 1982 First Interrogatory Re Site Restoration ML20069B8901982-03-0101 March 1982 Response Opposing Util 820210 Motion for Reconsideration of 820129 Order.No Legal Basis Presented for Util Argument That ASLB Exceeded Jurisdiction.Certificate of Svc Encl ML20041A4721982-02-16016 February 1982 Motion for Reconsideration of ASLB 820129 Order Requiring Implementation of Revised Plan.Aslb Course Falls Short of ASLB Responsibility to Issue Timely Rulings,Is Unfair to Util & Exceeds ASLB Authority.Certificate of Svc Encl ML20040C7011982-01-25025 January 1982 Responses Opposing Porter County Chapter Intervenors 820108 Motion for Order Imposing Condition of Withdrawal.Nrc Unauthorized to Require Applicant to Pay Intervenors' Fees & Expenses.Certificate of Svc Encl ML20039G0811982-01-0808 January 1982 Motion for Order Imposing Condition Upon Withdrawal of Util Application.Expenses Incurred by Intervenor Were Substantial & Info Developed in Discovery Cast Doubt on Merits of Util Application.Certificate of Svc Encl ML20039C2601981-12-22022 December 1981 Response Opposing Porter County Chapter Intervenors 811209 Motion to Compel Util to Implement Revised Plan for Restoration.Util Will Act When Termination Order Issued, Weather Permitting.Certificate of Svc Encl ML20062L9641981-12-0909 December 1981 Motion to Compel Util to Implement Revised Plan for Site Restoration.No Valid Reason Exists for Further Delay. Certificate of Svc Encl ML20011A2391981-10-0101 October 1981 Motion for Order Directing Util to Submit Plans to ASLB Re Site Excavation.Excavation Should Be Filled W/Matl Comparable to Removed Matl to Preclude Possibility of Harm to Natl Lakeshore.Certificate of Svc Encl ML20010G5041981-09-10010 September 1981 Response Supporting Util 810826 Motion to Terminate Proceeding.Termination Should Be W/Prejudice to Assure Finality of Util Decision & That Issues Raised Need Not Be Litigated ML20010E0331981-08-25025 August 1981 Response in Opposition to Porter County Chapter Intervenors 810817 Motion to Extend Time for Reply to Util Fourth Set of Interrogatories.Also Submits Motion to Compel Response. Related Correspondence ML20010E0321981-08-25025 August 1981 Motion to Compel Appearance of Ew Osann & Read for Deposition Re Facts Upon Which State of Il Has Based Contentions.Porter County & State of Il Are Attempting to Delay Completion of Proceeding.Related Correspondence ML20010E0171981-08-25025 August 1981 Renewed Motion for Protective Order Providing Hiple & Kulawinski Not Be Required to Appear for Depositions on 810915 & 22,respectively.Refusal to Reschedule Unwarranted. W/Ltrs & Certificate of Svc.Related Correspondence ML20010E0341981-08-25025 August 1981 Response in Opposition to State of Il 810820 Motion for Extension of Time to Respond to Util Fourth Set of Interrogatories.Requests That Order Be Issued to Compel Response.Related Correspondence ML20010D2381981-08-18018 August 1981 Response in Opposition to State of Il 810813 Motion to File Application for Discovery & Interrogatories Instanter & for Protective Order. General Allegations Insufficient to Extend Deadline.Certificate of Svc Encl.Related Correspondence ML20010D2291981-08-18018 August 1981 Motion to Compel Answers to 810622 Third Set of Interrogatories Directed to Porter County Chapter,Concerned Citizens Against Bailly Nuclear Site,Businessmen for Public Interest,Et Al.Related Correspondence ML20010D1201981-08-18018 August 1981 Response to Porter County Chapter Intervenors' Third Set of Interrogatories.Related Correspondence ML20010D1191981-08-18018 August 1981 Objections to Porter County Chapter Intervenors' Third Set of Interrogatories 9,10,11 & 42.Requests Protective Order Providing That No Further Response to Interrogatory 42 Is Required.Related Correspondence ML20010D1181981-08-18018 August 1981 Response to People of State of Il Second Set of Interrogatories.Related Correspondence ML20010D2441981-08-18018 August 1981 Objection to State of Il Second Set of Interrogatories, Interrogatories 12(c),13(b) & 13 (C).Matters Already Reviewed in Original CP Proceeding & Irrelevent to Instant Proceeding.Related Correspondence ML20010D2341981-08-18018 August 1981 Request for Motion to Compel Response to 810622 Third Set of Interrogatories Directed to State of Il.Answers Were Nonresponsive.Related Correspondence ML20010C8961981-08-17017 August 1981 Motion for Extension of Time Until 810910 to File Answers or Objections to Util 810730 Fourth Set of Interrogatories. More Time Needed for Adequate Preparation.No Party Will Be Prejudiced by Extension.Certificate of Svc Encl ML20010C8231981-08-17017 August 1981 Response Opposing Porter County Chapter Intervenors' 810810 Motion for Extension of Time to Take Depositions.Intervenors Had Ample Opportunity for Discovery.Board Should Not Allow Delaying Tactics ML20010C8251981-08-17017 August 1981 Response Opposing State of Il 810811 Motion for Extension of Time to Take Depositions.Hardships Under Discovery Schedule Are self-imposed ML20010C5031981-08-14014 August 1981 Second Application for Order Requiring Attendance & Testimony at State of Il Noticed Depositions of Lm Bykoski & Lg Hulman.Exceptional Circumstances Exist & Listed Personnel Should Be Required to Appear ML20010C5881981-08-13013 August 1981 Motion for Leave to File Application for Discovery Re NRC Documents,First Set of Interrogatories Directed to NRC & Third Set of Interrogatories Directed to Util.Discovery Could Not Be Completed by 810811.Related Correspondence ML20010C5911981-08-13013 August 1981 First Set of Interrogatories Directed to NRC ML20010C5921981-08-13013 August 1981 First Set of Interrogatories Directed to Util.Certificate of Svc Encl ML20010C5901981-08-13013 August 1981 Application for Discovery Directed to NRC Re NRC Staff Evaluation of Bailly CP Extension Request. ML20010C5181981-08-13013 August 1981 Motion for Protective Order That Ew Osann Deposition Not Be Taken on 810820.Osann Will Be Unavailable for Util Deposition Due to Other Business Commitments.Good Cause exists.W/810813 Ltr to Util Law Firm & Certificate of Svc ML20010B2941981-08-12012 August 1981 Renewed Application for Subpoenas Directed to Rf Brissette, s Dobrijevic & Personnel at Sargent & Lundy,Ground/Water Technology,Inc & Dames & Moore.Related Correspondence ML20010C4971981-08-11011 August 1981 First Request for Production of Documents Directed to Util ML20010C5111981-08-11011 August 1981 Motion for Extension of Time for Taking Depositions.Supports Porter County Chapter Intervenors' 810810 Motion for Extension of Deadline Until 810803.Schedule Places Burden on Parties W/O Benifit to Anyone.Certificate of Svc Encl ML20010C2821981-08-11011 August 1981 Conditional Withdrawal of Motions for Protective Orders Re Hiple & Kulawinski Depositions.If Depositions Rescheduled for Suggested Dates,Util Will Withdraw Objections. Certificate of Svc Encl ML20010C2621981-08-11011 August 1981 Amend to Porter County Chapter Intervenors' 810717 Notice of Deposition of MD Lynch,Adding Addl Subjs to Deposition. Related Correspondence ML20010C2391981-08-11011 August 1981 Fifth Set of Interrogatories Directed to Util.Related Correspondence ML20010C1591981-08-11011 August 1981 Third Application for Order Requiring NRC to Answer Porter County Chapter Intervenor'S Third Set of Interrogatories. Related Correspondence ML20010C1531981-08-11011 August 1981 Third Set of Interrogatories Directed to Nrc.Related Correspondence ML20010C5071981-08-11011 August 1981 Amended 810720 Notice of MD Lynch Deposition,Including Listed Matters for Exam 1985-05-23
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- 3 hai;e vA Y; BEFORE THE ATOMIC SAFETY AND LICENSING BOARDid
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In the Matter of ) Docket No. 50-367
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NORTHERN INDIANA PUBLIC ) (Construction Permit SERVICE COMPANY ) Extension)
(Bailly Generating Station, July 30, 1981 - k/
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- i. t NORTHERN INDIANA PUBLIC SERVICE COMPANY'S '
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FOURTH SET OF INTERROGATORIES TO THE STATE OF ILLINOIS ,
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Northern Indiana Public Service Company (NIPSCO) herebN 1 ?
serves its Fourth Set of Interrogatories to the State of Illinois (hereinafter " Illinois"), pursuant to 10 C.F.R. S 2.740b. Each interrogatory is to be answered fully in writing, under oath or affirmation, and include all pertinent inforication known to Illinois. Each answer should clearly indicata the interrogatory to which it is intended to be responsive.
Under NRC regulations (10 C.F.R. S 2.740 (e)) parties are required to supplement responses to interrogatories under cer* sin circumstances when new and/or different information becomes avail-able.
" Illinois" shall include all agents, employees, attorneys, investigators, and all other persons directly or indirectly subject to its control in any way.
DSM s
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8108050169 810730 PDR ADOCK 05000367 G PDR
- _ _ _ _ _______ _ - _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ - _ _ _ _ _ _ _ _ _ _ _ _ _ . .__________A
" Documents" means all written or recorded material cf any kind or character known to Illinois or in its possession, sustody or control, including, without limitation, letters, correspondence, telegrams, memoranda, notes, records, minutes, contracts, agree-ments, records or notations of telephone or personal conversa-tions or conferences, inter-office communications, microfilm, bulletins, circulars, pamphletc, studies, notices, summaries, reports, books, articles, treatises, teletype messages, invoices, tape recordings, and work-sheets.
When used with respect to a document, " identify" means, without limitation, to states its date, the type of document (e .g . , letter, memorandum, telegram, chart, photograph, sound reproduction, etc.), the a'ather and addressees, the present location and the custodian, and a description of its contents.
When used with respect to a person, " identify" means, with-out limitation, to state his or her name, address, occupation and professional qualifications.
If Illinois cannot answer any protion of any of the Inter-rogatories in full, after exercising due diligence to do so, so state, and answer to the extent possible, s et ifying the in-ability to answer the remainder and stating when Illinois ex-pects to te able to answer the unanswered portions.
NIPSCO'S INTERROGATORIES !
- 44. With respect to each item of conduct identified in your answer to Interrogatory 1(b) (1):
(a) Please specify the basis for your allegation that the conduct contributed to the failure to complete construction of Bailly by September 1, 1979; (b) Please explain how the conduct contributed to the failure to complete construction of Bailly by a
September 1, 1979; (c) Please state whether the existence of the conduct contributes to your conclusion that " good cause" does not exist for the extension of the construction permit for Bailly; and (d) Please specify the basis for your answer to Inter-rogatory 44(c).
l 45. (a) Please state whether each of the following is a con-tributing factor to your conclusion that " good cause" does not exist for the extension of the construction permit for Bailly:
(1) that the construction permit for Bailly was issued four months later than NIPSCO had predicted in 1973;
~*/ Numbering of the following Interrogatories continues from NIPSCO's Third Set of Interrogatories to Illinois (June 22,
( 1981).
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! (2) that NIPSCO did not commence remobilization i
of its contractors prior to completion of judicial review of the issuance of the con-struction permit for Bailly; (3) that a stay of construction of Bailly was issued by the U.S. Court of Appeals for i
Seventh Circuit; (4) that a slurry was was constructed for Bailly; (5) that the NRC Staff conducted a review of the pile foundation design for Bailly.
(b) Please provide a basis for your answers to Interroga-tory 45(a).
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- 46. You have alledged that:
The delay occasioned by the need to construct a slurry wall was due to NIPSCO's inadequate assessment of the environ-mental effects of its construction plan. Because of NIPSCO's insufficient consideration at the design stage of the proper techniques to avoid consequences of dewatering, the slurry wall was not included in the original construction schedule.
The company later found it necessary to reconsider its orig-inal design and supplement it with a slurry wall.*/
You have further alleged that:
NIPSCO's assessment of the environmental impacts of dewater-ing was inadequate because it did not correctly identify the effects of construction dewatering on the Indiana Dunes National Lakeshore and in particular on the Cowles Bog Wet-land Complex.**/
_/
- " Supplemental Petition of the State of Illinois," Conten-tion 2.A., p. 5 (Feb. 26, 1980).
- / Answer to Interrogatory 5 (b) (4) .
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. s Tne following interrogatories pertain to the above alle-gations.
(a) Please identify each effect of construction dewatering on the Lakeshore or "the Cowles Bog Wetland Complex" which will occur as a result of construction dewatering.
(b) Please specify which of the effects listed in your answer to Interrogatory 46(a) NIPSCO allegedly "did not correctly identify."
(c) With respect to each effect identified in your answer to Interrogatory 46(b),
(1) Specify whether NIPSCO identified the effect; (2) Identify the document (s) in which that identifica-tion is recorded; (3) Specify the respect in which NIPSCO's identifica-tion was not correct; (4) Specify the correct identification; (5) Provide the bases for year answers to
! Interrogakories 4ata), (c) (1) , (c) (3) ,
and (c) (4) ;
(d) Please provide the bases for your allegation that the
" delay occasioned by the need to construct a slurry wall was due to NIPSCO's inadequate assessment of the environmental effects of its construction plan."
(e) With reference to the allegation quoted in Interroga-tory 46(d), are you contending that, if NIPSCO had
- performed an adequate assessment, it would have in-cluded construction of a slurry wall in its "construc-tion plans"?
(f) If your answer to Interrogatory 46(e) is yes, please provide the bases for your answer.
(g) Please provide the bases for your allegation that NIPSCO gave " insufficient consideration at the design stage of the propar techniques to avoid the consequences of dewatering . . . .
(h) What are the " proper techniques to avoid the consequences of dewatering . . . .
(i) Please specify which of the " techniques" listed in your answer to Interrogatory 46(h), if any, are those which NIPSCO did not consider.
(j) Please specify which of the " techniques" listed in your answer to Interrogatory 46(i), if any, are those for which NIPSCO's consideration was " insufficient."
(k) Please provide the bases for your answers to Inter-rogatories 46 (h), 46(i), and 46 (j) .
l (1) Please provide the bases for your allegation that "NIPSCO's insufficient consideration at the design stage of the proper techniques to avoid consequences of dewatering" was a cause of the failure to include the slurry wall in the original construction schedule.
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(m) Are you contending that, if NIPSCO had given sufficient
" consideration at the design stage of the proper techniques to avoid consequences of dewatering," it would have included the slurry wall in the original construction schedule.
(n) If your answer to Interrogatory 46(m) is yes, please provide the bases for your answer.
(o) Please provide the bases for your allegation that NIPSCO "found it necessary to reconsider its original design and supplement it with a slurry wall."
- 47. Are you contending that NIPSCO was legally permitted to perform geological investigations of the Bailly site between the date NIPSCO applied for a construction permit for Bailly and the date such permit was issued, which investigations would have enabled NIPSCO to discover potential impediments to driving piles to bedrock? If yes, please specifically identify which such investigations NIPSCO could have per-l formed which it did not perform.
- 48. With respect to the "NRC Staff Evaluation of the Request for an Extension of Construction Permit CPPR-104 for the Bailly Generating Station, Nuclear 1" (July 17, 1981) , and the " Environmental Impact Appraisal Prepared by the Division of Licensing Regarding the Extension of Construction Permit CPPR-104 Bailly Generating Station, Nuclear-1" (July 17, 1981):
. (a) Please specifically identify each statement or state-ments with which you disagree.
(b) In what respect do you disagree with each statement or statements identified in your answer to Interroga-tory 48 (a) ?
(c) Please provide the basis for your answer to Interroga-tory 48 (b) .
- 49. With respect to the " Assessment of the Influence of Dewater-ing at Bailly N-1" (Nov. 1980), prepared by D'Appolonia (Project No, MW 79-720):
(a) Please specifically identify each statement or state-ments with which you disagree.
(b) In what respect do you disagree with each statement or statements identified in your answer to Interroga-tory 49 (a) ?
(c) Please provide the basis for your answer to Interroga-tory 49(b).
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50, You have alleged that l
l the delay (in construction of Bailly since September 28, 1977) was clearly due to inadequate research and design of the foundation by NIPSCO and its contractors.*/
(a) Please specifically identify which aspects of NIPSCO's research for the foundation of Bailly that you are alleging were " inadequate."
! " Supplemental Petition of the State of Illinois" (Feb. 26, 1980), p. 5.
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(1) In what respect were the aspects identified ;
in your answer to Interrogatory 50(a) "in-adequate"?
(2) Please provide a basis for your answer to Interrogatory 50 (a) (1) .
(3) Uhat action could NIPSCO have taken, which it did not take, which would have rendered adequate its research for the foundation of Bailly?
1 (4) Please provide a basis for your answer to Interrogatory 50 (a) (3) .
(b) Please specifically identify which aspects of NIPSCO's l design of the foundation of Bailly that you are alleg-ing were " inadequate."
i (1) In what respect were the aspects identified l
in your answer to Interrogatory 50(b) " inadequate"?
l (2) Please provide a basis for your answer to Interrogatory 50 (b) (1) .
(3) What changes could NIPSCO have made which would have rendered adequate its design for the foundation of Bailly?
(4) Please provide a basis for your answer to Interrogatory 50 (b) (3) .
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(c) Please provide a basis for your allegation that the
" inadequate research and design of the foundation" I of Bailly was the cause of the delay in construction !
of Bailly since September 28, 1977.
- 51. You have alleged that i the stratigraphic analysis prepared for NIPSCO was defi-cient in that it did not correctly identify the various 1 geological strata through which the proposed pilings would have to penetrate.*/
(a) Please identify the stratigraphic analysis to which you are referring.
(b) What " geological strata through which the proposed pilings would have to penetrate" are you alleging were not cortectly identified?
(1) In what respect were the geological strata identified in your answer to Interrogatory 51(b) incorrectly identified?
(2) Please specify the basis for your answer to Interrogatory 51(b) (1) .
(3) Please identify the correct " geological strata through which the proposed pilings would have to penetrate."
(4) Please provide a basis for your answer to Interrogatory Sl(b) (3) .
(c) What actions could have NIPSCO taken, which it did not take, which would have rendered adequate its
" stratigraphic analysis"?
(1) Please provide a basis for your answer to Interrogatory 51(c).
(d) Are you contending that the delay in construction of Bailly since September 28, 1977, would not have occurred if NIPSCO had " correctly identif(ied] the various geologi-cal strata through which the proposed pilings would have to penetrate." If yes, please provide a basis for your answer.
- 52. You have alleged that l NIPSCO and its contractors failed to perform adequate testing, i
by borings or other means, prior to construction to identify the problems at the pre-construction stage including the inability to drive the piles to bedrock.*/
(a) Please specifically identify the "other means" to which you are referring.
(b) Please specifically identify the aspects of NIPSCO's
" testing" which you are alleging were inadequate.
(1) In what respect were the aspects identified l in your answer to Interrogatory 52(b) inadequate?
(2) Plaase provide a basis for your answer to Interrogatory 52 (b) (1) .
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.'. , (3) Please specify the actions which NIPSCO could have performed, but failed to perform, " prior to construction to identify the problems at the pre-construction stage including the inability to drive the piles to bedrock."
(c) Are you contending that it was possible " prior to construction to identify the problems at the pre-con-struction stage including the inability to drive the piles to bedrock"? If yes, (1) Please provide a basis for your answer; (2) State whether you are contending whether NIPSCO should have identified prior to con-struction "the problems at the pre-construc-tion stage including the inability to drive the piles to bedrock."
(d) Please provide a definition of the term " problems at the pre-construction stage."
(e) Please specify each of the " problems at the pre-con-
, struction stage" to which you are referring.
l (f) What is the basis for your allegation that there was any " inability" by NIPSCO "to drive piles to bedrock"?
(g) Are you contending that the delay in construction of Bailly since September 28, 1977, would not have occurred if NIPSCO had " perform [ed] adequate testing"? If yes, l
please provide a basis for your answer.
- 53. You have alleged that NIPSCO and its contractors did not devise a proper construc-tion program which would have made it possible to utilize the original (foundation] design.*/
(a) Please specifically identify each aspect of NIPSCO's
" construction program" which you are alleging was not
" proper."
(1) In what respect was each aspect identified in your answer to Interrogatory 53(a) improper?
(2) Please provide a basis for your answer to Interrogatory 53(a) (1) .
(3) Please specify those changes, if any, which NIPSCO could have made in its " construction program" which would have rendered the " con-struction program" " proper."
(4) Please provide a basis for your answer to Interrogatory 53(a) (3) .
(b) Are you contending that the delay in construction of Bailly since September 28, 1977, would not have occurred if NIPSCO had " devised] a proper construction program"?
If yes, please provide a basis for your answer.
- 54. Please identify each document to which you referred or upon which you relied in answering Interrogatories 44-53.
- 55. Please identify each person whom you consulted in answering Interrogatories 44-53 giving the following information for each such person:
(a) Name; (b) Address; (c) Place of employment and job title; (d) Number (including subpart) of each Interrogatory with respect to which that person consulted, aided or pro-
, vided or furnished information; and (e) The nature of the information or aid furnished.
Respectfully submitted, EICHHORN, EICHHORN & LINK 5243 Hohman Avenue Hammond, Indiana 46320 i .
By '~
William H'. Eichhorn Attorneys for Northern Indiana Public Service Company l
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, LOWENSTEIN, NEWMAN, REIS l & AXELRAD l 1025 Colinecticut Avenue, N.W.
Washington, D.C. 20036
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