Answer Opposing State of Il Motion to Compel Answers to Il Second Set of Interrogatories & Request for Production of Documents.Each Document Specifically Identified as Relevant to Particular Interrogatory.W/Certificate of SvcML20040C036 |
Person / Time |
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Site: |
Clinton |
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Issue date: |
01/15/1982 |
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From: |
Fox C ILLINOIS POWER CO., SCHIFF, HARDIN & WAITE |
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To: |
NRC COMMISSION (OCM) |
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References |
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ISSUANCES-OL, NUDOCS 8201270191 |
Download: ML20040C036 (14) |
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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARU-602875, Comment Supporting Proposed Rule 10CFR50 Re Proposed Rule for Financial Assurance Requirements for Decommissioning Nuclear Power Reactors1997-11-21021 November 1997 Comment Supporting Proposed Rule 10CFR50 Re Proposed Rule for Financial Assurance Requirements for Decommissioning Nuclear Power Reactors U-602719, Comment Supporting Proposed Communication;Gl 97-XX, Assurance of Sufficient Net Positive Suction Head for ECCS & Containment Heat Removal Pumps1997-03-20020 March 1997 Comment Supporting Proposed Communication;Gl 97-XX, Assurance of Sufficient Net Positive Suction Head for ECCS & Containment Heat Removal Pumps ML20136F2841997-03-11011 March 1997 Memorandum & Order (Terminating Proceeding).* Grants Southwestern Electric Cooperative 970311 Motion to Terminate Proceeding & Dismisses 970228 Petition for Leave to Intervene.W/Certificate of Svc.Served on 970311 ML20136F3281997-03-0707 March 1997 Establishment of Atomic Safety & Licensing Board.* Board Being Established in Following Proceeding to Rule on Petitions for Leave to Intervene And/Or Requests for Hearings.Certificate of Svc Encl.Served on 970307 ML20136F3561997-02-28028 February 1997 Petition for Leave to Intervene of Southwestern Electric Cooperative,Inc.* Requests That Commission Grant Petition for Leave to Intervene & Grant Other Relief as Commission Deems Appropriate.W/Certificate of Svc U-602603, Comments on Proposed Rule 10CFR50 Re Financial Assurance Requirements for Decommissioning Nuclear Power Reactors1996-06-21021 June 1996 Comments on Proposed Rule 10CFR50 Re Financial Assurance Requirements for Decommissioning Nuclear Power Reactors U-602559, Comments on Proposed Rule 10CFR20 Re Unauthorized Use of Licensed Radioactive Matl.Proposes Changes to Wording of Pr1996-02-27027 February 1996 Comments on Proposed Rule 10CFR20 Re Unauthorized Use of Licensed Radioactive Matl.Proposes Changes to Wording of Pr U-602408, Comment Supporting NUMARC Comments on Proposed Rule 10CFR50 Re Plant Shutdown & Low Power Operations.Requests Addl Period for Public Comment Be Made Available1995-02-0101 February 1995 Comment Supporting NUMARC Comments on Proposed Rule 10CFR50 Re Plant Shutdown & Low Power Operations.Requests Addl Period for Public Comment Be Made Available ML20071N4861994-07-21021 July 1994 Comment Supporting Petition for Rulemaking PRM-50-59 Re Changing 10CFR50 & 73 for Frequency W/Which Licensee Conduct Independent Reviews & Audits of Safeguards Contingency Plan & Security Program from Every 12 Months to Every 24 Months ML20056G3351993-08-27027 August 1993 Comment Opposing Proposed Rule 10CFR2 Re Review of 10CFR2.206 Process U-601930, Comment Opposing Draft Rev 1 to NUREG-1022, Event Reporting Sys - 10CFR50.72 & 50.73,Clarification of NRC Sys & Guidelines for Reporting1992-01-30030 January 1992 Comment Opposing Draft Rev 1 to NUREG-1022, Event Reporting Sys - 10CFR50.72 & 50.73,Clarification of NRC Sys & Guidelines for Reporting JSP-860-90, Comment Opposing Proposed Rule 10CFR26 Re fitness-for-duty1990-10-30030 October 1990 Comment Opposing Proposed Rule 10CFR26 Re fitness-for-duty ML20043F9941990-06-0606 June 1990 Comment Supporting Petition for Rulemaking PRM-50-55, Coordinating Revs of FSAR W/Refueling Cycles.Approval of Rulemaking Change Would Provide for More Logical & Timely Basis for Incorporating Plant Procedure Changes in Future U-601249, Comment Supporting Proposed Rule 10CFR50 Re Nuclear Plant License Renewal (NUREG-1317)1988-10-21021 October 1988 Comment Supporting Proposed Rule 10CFR50 Re Nuclear Plant License Renewal (NUREG-1317) ML20204J3461988-10-20020 October 1988 Order Imposing Civil Monetory Penalty in Amount of $75,000. Violation a Occurred as Stated.For Violation C,Violation Most Appropriately Classified at Severity Level IV & Should Be Removed as Violation Supporting Civil Penalty ML20205Q9141988-10-20020 October 1988 Comment Opposing Proposed Rule 10CFR26 Re Commission Statement on Fitness for Duty of Nuclear Power Personnel. Commission Requested to Reconsider Efforts Prior to Issuing Final Rule ML20247N7531988-07-28028 July 1988 Petition for Rulemaking PRM-50-53 Requesting NRC Action to Review Undue Risk Posed by BWR Thermal Hydraulic Instability.Nrr Should Issue Order Requiring All GE BWRs to Be Placed in Cold Shutdown for Stated Reasons ML20196C5481988-06-0707 June 1988 Comment Supporting Proposed Rule 10CFR50 Re leak-before-break (LBB) Technology.Believes That Extension of LBB Technology to Performance Requirements for Emergency Core Cooling Sys Appropriate U-601050, Advises That Util Endorses BWR Owners Group 870820 Comments on Draft NUREG-1150, Reactor Risk Ref Document1987-09-30030 September 1987 Advises That Util Endorses BWR Owners Group 870820 Comments on Draft NUREG-1150, Reactor Risk Ref Document ML20206J2131987-04-10010 April 1987 Transcript of 870410 Public Meeting,Discussion/Possible Vote in Washington,Dc Re Full Power OL for Plant.Pp 1-73. Supporting Documentation Encl ML20135H3381985-09-11011 September 1985 Order Revoking CPPR-138 ML20133N7801985-08-0707 August 1985 Unexecuted Indemnity Agreement B-91 ML20129A8351985-07-11011 July 1985 Memorandum & Order Terminating Proceeding Per 850517 Motion on Grounds of Mootness.Requests ASLB Authorize NRR to Rescind CPPR-138.Served on 850712 ML20126F1611985-06-13013 June 1985 Memorandum & Order Directing Any Party Wishing to Examine Photographs to File Request W/Aslb by 850701.Photographs Deal w/850611 Memorandum & Order Requesting Addl Info on Unit 2 Excavation.Served on 850614 ML20126A0141985-06-11011 June 1985 Memorandum & Order Requiring NRC to Provide ASLB & Parties W/Photographs,Maps & Accompanying Explanations Referred to in G Laroche 850606 Affidavit Re Evacuation.Served on 850612 ML20126C3271985-06-11011 June 1985 Order Directing NRC Provide ASLB W/Photographs,Maps & Accompanying Explanations Referred to in 850606 Affidavit of Germain Laroche Addressing Environ Conditions of Excavation Site.Served on 850612 ML20125B3021985-06-0606 June 1985 Affidavit of G Laroche Re Environ Conditions of Site,Berm Const & Site Stabilization.Prof Qualifications,Se Turk Notice of Appearance & Certificate of Svc Encl ML20125B2631985-06-0606 June 1985 Response to Applicant 850517 Motion to Terminate Proceeding. No Opposition Offered,Subj to Two Listed Site Redress Conditions.G Laroche Affidavit Encl ML20128P7311985-06-0303 June 1985 Notice of Filing of Answer to Applicant Motion to Terminate Proceeding ML20128P7401985-05-29029 May 1985 Response to Applicant Motion to Terminate Proceeding.No Objections Offered.Method Applicant Proposed for Remediating Unit 2 Excavation Area Questioned.Certificate of Svc Encl ML20127G1901985-05-17017 May 1985 Motion to Terminate Proceeding,Due to 831018 Cancellation of Unit & 850409 Withdrawal of Application for OL & Request for Rescission of CPPR-138.All Stabilization Work Described in FSAR Completed.Certificate of Svc Encl ML20114D0281985-01-28028 January 1985 Notice of Filing of Joint Stipulation.Certificate of Svc Encl ML20114D0441985-01-28028 January 1985 Notice of Appearance in Proceeding.Certificate of Svc Encl ML20099D2701984-11-15015 November 1984 Third Supplemental Response to State of Il First Set of Interrogatories.Certificate of Svc Encl.Related Correspondence ML20099D2921984-11-15015 November 1984 Third Supplemental Response to State of Il Second Set of Interrogatories.Certificate of Svc Encl.Related Correspondence ML20099D2561984-11-15015 November 1984 First Supplemental Response to Prairie Alliance First Round of Discovery.Certificate of Svc Encl.Related Correspondence ML20099C6261984-11-15015 November 1984 Supplemental Responses to Applicant Interrogatories Re Contentions 2 & 3.Certificate of Svc Encl.Related Correspondence ML20097G2291984-09-18018 September 1984 Notice of Appearance in Proceeding.Certificate of Svc Encl. Related Correspondence ML20097G2071984-09-18018 September 1984 Notice of Change of Address & Telephone Number.Related Correspondence ML20098A3921984-09-11011 September 1984 Notice of Appearance in Proceeding.Certificate of Svc Encl ML20094P6621984-08-13013 August 1984 Notice of Appearance in Proceeding.Certificate of Svc Encl ML20090E5021984-06-28028 June 1984 Notice of Appearance in Proceeding.Certificate of Svc Encl ML20090E4831984-06-28028 June 1984 Notice of Appearance in Proceeding.Certificate of Svc Encl ML20092J8221984-06-22022 June 1984 Notice of Withdrawal of Appearance in Proceeding.Certificate of Svc Encl ML20091R9621984-05-31031 May 1984 Notice Forwarding NRC Region III Re Independent Design Review.Certificate of Svc Encl.Related Correspondence ML20090L2101984-05-22022 May 1984 Notice of Appearance of SL Johnson.Certificate of Svc Encl ML20087P8451984-04-0404 April 1984 Second Supplemental Response to State of Il First Set of Interrogatories.Certificate of Svc Encl.Related Correspondence ML20087P8201984-03-23023 March 1984 Second Supplemental Response to State of Il Second Set of Interrogatories.Certificate of Svc Encl.Related Correspondence ML20086T9881984-03-0202 March 1984 Notice of Filing of Joint Stipulation in OL Hearing ML20080Q4241983-10-0606 October 1983 Notice of Appearance in Proceeding.Certificate of Svc Encl 1997-03-07
[Table view] Category:PLEADINGS
MONTHYEARML20125B2631985-06-0606 June 1985 Response to Applicant 850517 Motion to Terminate Proceeding. No Opposition Offered,Subj to Two Listed Site Redress Conditions.G Laroche Affidavit Encl ML20128P7401985-05-29029 May 1985 Response to Applicant Motion to Terminate Proceeding.No Objections Offered.Method Applicant Proposed for Remediating Unit 2 Excavation Area Questioned.Certificate of Svc Encl ML20127G1901985-05-17017 May 1985 Motion to Terminate Proceeding,Due to 831018 Cancellation of Unit & 850409 Withdrawal of Application for OL & Request for Rescission of CPPR-138.All Stabilization Work Described in FSAR Completed.Certificate of Svc Encl ML20071E9881983-03-11011 March 1983 Response Opposing Prairie Alliance 830305 Affidavit Opposing Applicant 830117 Motion for Summary Disposition or for Continuance Pending Discovery.Rules Prohibit ASLB Consideration of Late Filed Affidavit.W/Certificate of Svc ML20070V3241983-02-11011 February 1983 Answer Opposing Applicant Motion That Discovery Not Be Had Re Prairie Alliance 830128 Request for Documents.No Good Cause Shown Why Discovery Should Not Be Had.Supporting Statements Irrelevant.Certificate of Svc Encl ML20070T2041983-02-0303 February 1983 Answer Opposing Applicant Motion for Summary Disposition of Prairie Alliance Contention Vi.Motion Fails to Resolve & Address All Issues of Fact Raised in Contention.All Relevant Documents Not Available to Alliance.Certificate of Svc Encl ML20028G2571983-02-0202 February 1983 Motion for Protective Order That Discovery Not Be Had Re Prairie Alliance 830128 Request for Production of Documents on Contention Vi.Motion for Summary Disposition Shows No Remaining Issue of Fact on Contention.W/Certificate of Svc ML20028E3841983-01-17017 January 1983 Motion for Summary Disposition of Prairie Alliance Contention Vi.No Genuine Issue of Matl Fact Exists & Util Entitled to Favorable Decision.Statement of Matl Fact Encl ML20028E3161983-01-17017 January 1983 Response in Opposition to Prairie Alliance 830105 Motion to Compel Production of Documents on Contention Vi.No Genuine Issue of Fact Exists Re Contention Vi.Applicants Entitled to Summary Disposition as Matter of Law.W/Certificate of Svc ML20070M1621983-01-0505 January 1983 Motion to Compel Util Production of Documents.Certificate of Svc Encl.Related Correspondence ML20071P1831982-10-29029 October 1982 Motion to Withdraw as Prairie Alliance Atty.Prairie Alliance Does Not Have Ability to Pay Prof Expenses Incurred,Is Unwilling to Incur Addl Prof Expenses & Desires to Resume Member Coordination.Proof of Svc Encl ML20058J1501982-08-0202 August 1982 Response to 820608 Suppl to Applicant 820422 Motion for Protective Order.Aslb Ruling on Motion Should Be Deferred Unless Parties Disagree on Extent of Disclosure.Proposed Protective Order Encl.Certificate of Svc Encl ML20054E6481982-06-0808 June 1982 Suppl to 820422 Motion That Discovery Not Be Had Re Production of Any Documents Re Quality Rept Sys.State & Applicants Are Negotiating on Method & Conditions for Disclosure of Quality Matters ML20054E7231982-06-0707 June 1982 Reply to Prairie Alliance 820513 Answer to Applicant 820505 Motion That Hearings Be Held in Clinton,Il.Lists Blatant Inaccuracies & Omissions in Prairie Alliance Answer That Must Be Corrected.Certificate of Svc Encl ML20054E7201982-06-0707 June 1982 Request for Leave to File Reply to Prairie Alliance Answer to Applicant Motion That Evidentiary Hearing Be Held in Clinton,Il.Misstatements & Omissions of Fact Need to Be Corrected ML20052G8281982-05-13013 May 1982 Answer Opposing Applicant 820504 Motion to Hold Evidentiary Hearings in Clinton,Il.Primary Purpose of Motion Is to Cause & Maximize Inconvenience to Intervenors.Applicant Reasons W/O Merit.Proof of Svc Encl ML20051W6401982-05-12012 May 1982 Answer Opposing State of Il 820429 Motion to Allow Discovery on Prairie Alliance Contention 2.Further Discovery Unnecessary Due to Broad Scope of Il Prior Requests & Util Obligation to Suppl Requests.W/Certificate of Svc ML20052F4021982-05-0606 May 1982 Initial Response to Applicant 820422 Motion for Protective Order.Aslb Should Defer Ruling on Motion Until Notified of Parties' Inability to Resolve Issues & State of Il Filed Substantive Response.Certificate of Svc Encl ML20052F4091982-05-0404 May 1982 Motion for Evidentiary Hearing to Be Held in Clinton,Il. Strong Public Support Exists for Hearings to Be Held in Clinton & Adequate Facilities Exist to Accommodate Hearings. Certificate of Svc Encl ML20052E5801982-04-29029 April 1982 Motion to Allow Discovery on Events Re Prairie Alliance Contention 2 That Have Been Reported or Occurred Since 811111 Cutoff of Second Round Discovery Requests.Addl Problems W/Qa/Qc Plan Discovered.Certificate of Svc Encl ML20052A4741982-04-22022 April 1982 Motion for Protective Order Re Production of Documents on Quality Rept Sys.Sys Based on Util vice-president/plant Personnel Agreement That Repts Would Be Confidential. Disclosure Would Breach Trust.W/Certificate of Svc ML20054B7501982-04-12012 April 1982 Brief Supporting Prairie Alliance 820326 Supplemental Contentions.Proof of Svc Encl ML20050C3381982-03-31031 March 1982 Supplemental Motion Answers to Second Request for Production of Documents.Aslb 820216 Order Covers Matl Sought.Certificate of Svc Encl.Related Correspondence ML20050A5381982-03-26026 March 1982 Motion for Leave to File Statement of Issues Per 10CFR2.715(c).Issues Re Qa/Qc Program & Evaluation for Adverse Sys Interaction Meet Procedural Requirements of Specificity.Certificate of Svc Encl ML20049K1821982-03-23023 March 1982 Suppl to Answer to Applicant Motion for Summary Disposition of Contention 5 & NRC Motion to Defer Consideration. Genuine Issue of Fact Exists Re Whether Applicant Performed ATWS Analysis.Proof of Svc Encl ML20049K0861982-03-23023 March 1982 Suppl to 811221 Answer Opposing Applicant Motion for Summary Disposition of Prairie Alliance Contention 5.ASLB in Perry Case Refused to Dismiss ATWS Contention.Certificate of Svc Encl ML20049K0321982-03-23023 March 1982 Answer Supporting NRC Motion for Dismissal of Prairie Alliance Contention 5.Contention Is Generic & Lacks Requisite Nexus W/Plant & Therefore Fails to Meet Specificity Requirements.Certificate of Svc Encl ML20040C0361982-01-15015 January 1982 Answer Opposing State of Il Motion to Compel Answers to Il Second Set of Interrogatories & Request for Production of Documents.Each Document Specifically Identified as Relevant to Particular Interrogatory.W/Certificate of Svc ML20039G0351982-01-0606 January 1982 Motion for Protective Order Re Prairie Alliance Discovery of Documents Containing Confidential,Research,Development or Commercial Info ML20039D7341981-12-31031 December 1981 Motion for Order Compelling Applicants to Answer Second Set of Interrogratories.General Attempt at Compliance W/First Round Discovery Requests Does Not Foreclose More Specific Requests.W/Certificate of Svc.Related Correspondence ML20039D8331981-12-31031 December 1981 Motion for Leave to File Motion to Compel Answers to Second Set of Interrogatories & Request for Production of Documents.Circumstances Prevented Motion from Being Filed on 811230.Affidavit & Certificate of Svc Encl ML20039C2421981-12-21021 December 1981 Answer to Applicants' 811125 Motion for Summary Disposition of Prairie Alliance Contention 5 & to NRC 811207 Motion to Defer Consideration of Motion.Motion Should Be Deferred Until SER Issuance.Certificate of Svc Encl ML20039C2461981-12-21021 December 1981 Answer Opposing Applicant Motion for Summary Disposition of Prairie Alliance Contention 5.Statement of Matl Fact as to Which There Is Genuine Issue to Be Heard & Certificate of Svc Encl ML20039B7981981-12-15015 December 1981 Motion for Protective Order Disallowing Discovery Re Interrogatories Objected to in Prairie Alliance Partial Second Round of Discovery ML20039B8011981-12-15015 December 1981 Motion for Protective Order Disallowing Discovery Re Interrogatories Objected to in State of Il Second Set of Interrogatories.Certificate of Svc Encl ML20009B2571981-07-0808 July 1981 Answer to 810626 Joint Motion for Extension of Time to Complete Discovery.Any Delay at This Time Increases Likelihood of Addl Delay Later in Proceedings.Certificate of Svc Encl ML20008G1661981-06-25025 June 1981 Joint Motion for Extension of Time Until 810727 to Complete Discovery Per ASLB 810601 Memorandum & Order.Extension Would Not Seriously Jeopardize Timely Completion of Proceeding. Certificate of Svc Encl ML20002E5541981-01-26026 January 1981 Answer Opposing Prairie Alliance Suppl to Petition for Leave to Intervene & Request for Hearing.Suppl Fails to Present Justifiable Contention or Cure Defects in Original Filing. Certificate of Svc & Notices of Appearance Encl 1985-06-06
[Table view] |
Text
,
UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION IN THE MATTER OF )
ILLINOIS POWER COMPANY, )
SOYLAND POWER COOPERATIVE, INC. )
and WESTERN ILLINOIS POWER ) Docket No. 50-461 OL COOPERATIVE, INC. '
)
)
(Operating License for Clinton )
Power Station, Unit 1) )
)
ANSWER OF APPLICANTS IN OPPOSITION TO ILLINOIS' MOTION TO COMPEL ANSWERS Pursuant to Section 2.730(c) of the Rules of Practice of the Nuclear Regulatory Commission, Illinois Power Company (" Illinois Power"), on behalf of itself, Soyland Power Cooperative, Inc., and Western Illinois Power Cooperative, Inc. (" Applicants") , hereby answers the State of Illinois' ("the State's") Motion to Compel Answers to Its Second Set of Interrogatories and Request for Production of Documents to Applicants of December 31, 1981 (" Motion" ) ,
and requests that the Motion be denied. In support of its answer, Illinois Power states as follows:
I. Interrogatory Answers A. The State's Response to Illinois Power's General Objections In its response of December 15, 1981 to the State's Second Set of Interrogatories, Illinois Power objected
() 8201270191 820115 PDR ADOCK 05000461 G
7{ r
. ~ . -
l to many of the State's interrogatories and requests for the production of documents on one or both of two grounds.
The first ground was that the information requested in a particular interrogatory had been previously furnished l 1
by Illinois Power in response to the State's First Set of Interrogatories and First Request for Production of Documents of July 27, 1981. This foreclosed the State from requesting the information again. The second ground was that the information requested in many interrogatories was unnecessary for the clarification of any responses to first round discovery and was beyond the scope of second round discovery.
The State responded in Part II-A of its motion to the first objection, claiming that Illinois Power had
" unreasonably withheld information on the basis of its first round responses." This allegation would be a serious matter if it were not belied by the State's own admissions that it received "an avalanche-like response" and that it was allowed to "to search for several days through a file room full of documents." The scope of Illinois Power's response has precisely matched the scope of the State's discovery requests. The State is attempting to camouflage its own failure to formulate specific discovery requests, and to conduct discovery in the period allowed for the first round, by accusing Illinois power of failing to comply with the specificity requirements of the Commission's regula-tions. The State alleges that Illinois Power failed to correlate the documents it produced with each particular discovery request. This allegation is utterly and completely false. Each document produced was specifically identified as relevant to a particular idterrogatory or document request.
The State's problem lies with itr ~ shotgun" first round discovery requests, such as Interrogatory No. 5, in which it asked for all documents relating to the construction of safety-related systems. In response to this request, i Illinois Power opened its construction management and construction fabrication files to the State. Each document in these files was relevant to Interrogatory No. 5. The State was given the same index used by Illinois Power to identify and locate documents in its files. Illinois Power could not have taken a more open and cooperative approach to document production.
l The State was informed of the nature and quantity of documents relevent to its request before it scheduled document review sessions. Although it had more than four months for first round discovery, the State scheduled only three days of document review at the offices of Illinois Power. The real goal of the State's second round discovery is to circumvent the deadline for first round discovery.
The State responded in Part II-B of its motion to Illinois Power's objection that certain interrogatories and document requests exceeded the scope of second round discovery. The State argues that Illinois Power's responses to first round discovery were so broad that the State cannot "ask for information that wouid clarify its responses."
This makes no sense at all. If the responses were so broad, they should provide fertile ground for clarifying questions.
The State's problem is that it failed to spend the time necessary to review the mass of information it requested.
It now seeks to start again from scratch in the second round of discovery. The Board has ruled that the scope of second round discovery is " limited to clarification to matters raised in the first round." Ignoring the plain language of the parties' Joint Motion, the State now claims that the second round of discovery is open to clarification of all matters raised in the contentions. In effect, the State is asking for unlimited second round discovery.
This is not the purpose of later rounds of discovery.
There is a simple test for determining whether a particular interrogatory is a clarification or an expansion 1
of first round discovery: Did the State need information that it received in response to first round discovery in
_4 j
order to formulate its second round discovery requests?
For each request claimed by Illinois Power to exceed the scope of second round discovery, the answer to this question is no.
B. The State's Arguments on Objections to Specific Interrogatories
- 1. Contention 2 Interrogatory Nos. 5 and 8: These interrogatories are not in clarification of first round discovery because they could have been asked regardless of any information provided by Illinois Power in response to first round discovery requests. Moreover, Illinois Power fully answered both interrogatories.
Interrogatories Nos. 6, 7, 9, 10 and 13: These interrogatories are not in clarification of first round discovery because they could have been asked regardless of any information provided by Illinois Power in response to first round discovery requests.
The basis for Interrogatory No. 13 is a document to which the State had access before first round discovery
( commenced. Questions which the State had on this document could have been esked during first round discovery. Moreover, Illinois Power fully answered Interrogatory Nos. 6, 7, l and 9.
l
Interrogatory Nos. 11, 12, and 14-19: The State first claims that it did not find the information requested in these interrogatories when it reviewed documents in response to Interrogatory No. 4 of its First Set of Interroga-tories in first round discovery. Then, the State asserts that these second round interrogatories seek to clarify matters discovered in the first round. The State cannot seek to clarify information it does not have. Moreover, Illinois Power answered Interrogatory Nos. 11, 12, 17, 18, and 19.
Interrogatory Nos. 20-24: These interrogatories are not in clarification of first round discovery because they could have been asked regardless of any information provided by Illinois Power in response to the State's first round discovery requests. These interrogatories are also too vague. Each of these interrogatories call for Illinois Power to exercise independent judgment to determine the meaning of many of the phrases used. As the interrogatories are presently written, many phrases have too broad a scope of possible definition to allow Illinois Power to make any response.
l
- 2. Contention 3 Interrogatory Nos. 25-27: Illinois Power fully l answered these interrogatories in its Response to the State's I Second Set of Interrogatories. Throughout first round
discovery, Illinois Power informed the State of the nature and quantity of documents relevant to particular interroga-tories and contentions in advance of production. Illinois Power will continue this practice in second round discovery.
Interrogatory Nos. 28-34: These interrogatories are not in clarification of first round discovery because they could have been asked regardless of any information provided by Illinois Power in response to the State's first round discovery requests. Moreover, Illinois Power fully answered Interrogatory Nos. 28-33.
- 3. Contention 10 Interrogatory Nos. 35-48 and 51: These interroga-tories are not in clarification of any first round discovery because they could have been asked regardless of any informa-tion provided by Illinois Power in response to first round discovery requests. Illinois Power fully answered Interroga-tory Nos. 45 and 46 in its response to Interrogatory No.
46d of the State's First Set of Interrogatories. Moreover, Illinois Power fully answered interrogatories No. 35-39 and 46-48.
The State also asserts that these interrogatories seek further explanation of statements made by Illinois Power and the Nuclear Regulatory Commission Staff (Motion, i
pp. 9-10). With respect to Interrogatory Nos. 40-44, which Illinois Power did not answer, the State should identify l
such statements made by Illinois Power in any first round interrogatory answer or in any document produced during first round discovery. If the State can so identify such statements, Illinois Power will provide the answer.
Interrogatory Nos. 49 and 50: These interrogatories are not in clarification of first round discovery because they could have been asked regardless of any information provided by Illinois Power in response to first round discovery requests. The State claims that it would not find the answer to these interrogatories in materials provided in response to Interrogatory No. 46d of the State's First Set of Interrogatories. Since the State never reviewed any documents on Contention 10, although it had ample opportunity to do so, it lacks any knowledge as to whether the documents produced on Contention 10 contain the answers.
- 4. Contention 12 Interrogatory No. 52: To the best of its knowledge, Illinois Power has identified all documents used in answering this interrogatory.
Interrogatory Nos. 53, 55, and 59: These interroga-tories are not in clarification of first round discovery because they could have been asked regardless of any informa-tion provided by Illinois Power in response to first round discovery requests. Moreover, Illinois Power answered i
Interrogatories No. 55 and 59.
1 I
Interrogatory No. 57: Illinois Power answered this interrogatory as fully as possible given the nature of the interrogatory. The specific steps to correct a malfunction or remove fuel can only be described in the I
context of a particular occurrence. For example, the proce-dures employed may depend on the location of the fuel in l
the tube and causes of the malfunction.
l II. The State's Request for Production of Documents.
Document Request Nos. 2-8, 10, and 11: Illinois Power, as noted in its Response to the Second Request for Production of Documents, produced these documents in response to first round discovery requests.
Document Request Nos. 9 and 12-17: Illinois Power produced many of these documents in response to particu-lar interrogatories and document requests in the State's first round discovery request. To the extent that the documents were not produced during first round discovery they are beyond the scope of second round discovery. The further requests are not in clarification of any second round discovery because they could have been made regardless
(
of any information provided by Illinois Power in response l l
to first round discovery requests.
WHEREFORE, for the reasons stated above, Illinois Power requests the Board to deny the Motion.
IRespectfully submitted,
- b. dXT One of the Attorneys for Applicants Peter V. Fazio, Jr.
Sheldon A. Zabel William Van Susteren Charles D. Fox IV SCHIFF HARDIN & WAITE 7200 Sears Tower 233 South Wacker Drive Chicago, Illinois 60606 (312) 876-1000 Dated: January 15, 1982 l
l
CERTIFICATE OF SERVICE I hereby certify that an original and two con-formed copies of the foregoing document were served upon the following:
Secretary of the Commission United States Nuclear' Regulatory Commission Washington, D.C. 20555 Attention: Docketing and Service Branch and that one copy of the foregoing document were served upon each of the following:
Hugh K. Clark, Esq., Chairman P. O. Box 127A Kennedyville, Maryland 21645 Dr. George A. Ferguson School of Engineering Howard University 2300 Sixth Street, N.W.
Washington, D.C. 20059 Dr. Oscar H. Paris Atomic Safety and Licensing Board U.S. Nuclear Regulatory Commission Washington, D.C. 20555 Executive Legal Director United States Nuclear Regulatory Commission Washington, D.C. 20555 Philip L. Willman Assistant Attorney General Environmental Control Division 188 West Randolph Street ~~
Suite 2315
- Chicago, Illinois 60610 1
Prairie Alliance P. O. Box 2424 Station A Champaign, Illinois 61820 Atomic Safety and Licensing Board Panel U.S. Nuclear Regulatory Commission Washington, D.C. 20555
i l
Atomic Safety and Licensing Appeal Board Panel U.S. Nuclear Regulatory Commission Washington, D.C. 20555 in each case by deposit in the United States Mail, postage prepaid on January 15, 1982.
C h en k o b . %c One of the Attorneys for Applicants Peter V. Fazio, Jr.
Sheldon A. Zabel William Van Susteren Charles D. Fox IV SCHIFF HARDIN & WAITE ,
7200 Sears Tower 233 South Wacker Drive Chicago, Illinois 60606 (312) 876-1000 t
[
?? FED UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION 'd2 y '! 7 9 p,gp 7
. )
.7, IN THE MATTER OF )
ILLINOIS POWER COMPANY, )
SOYLAND POWER COOPERATIVE, INC. )
and WESTERN ILLINOIS POWER ) Docket No. 50-461 OL COOPERATIVE, INC. )
)
(Operating License for Clinton )
Power Station, Unit 1) )
NOTICE TO:
Hugh K. Clark, Esq., Chairman b
P. O. Box 127A s IGCBurgy Kennedyville, Maryland 21645 '- -
sp AN2 g >
Dr. George A. Ferguson
- ygu mm,iggg,'@'
School of Engineering Djgpan[,4 47 Howard University 1 2300 Sixth Street, N.W. /
9 Washington, D.C. 20059 Ri Dr. Oscar H. Paris Atomic Safety and Licensing Board U.S. Nuclear Regulatory Commission Washington, D.C. 20555 Executive Legal Director United States Nuclear Regulatory Commission Washington, D.C. 20555 Philip L. Willman Assistant Attorney General Environmental Control Division _
188 West Randolph Street Suite 2315 03 Chicago, Illinois 60610
$ Prairie Alliance P. O. Box 2424
- { Station A Champaign, Illinois 61820 Atomic Safety and Licensing Board Panel U.S. Nuclear Regulatory Commission Washington, D.C. 20555
O e Atomic Safety and Licensing Appeal Board Panel U.S. Nuclear Regulatory Commission Washington, D.C. 20555 PLEASE TAKE NOTICE that I have filed with the Secretary of the United States Nuclear Regulatory Commis-sion ANSWER OF APPLICANTS IN OPPOSITION TO ILLINOIS' MOTION TO COMPEL ANSWERS in the.above-captioned matter.
A copy of this document is attached hereto and hereby served upon you, em&o D. % 9 One of the Attorneys for Applicants Peter V. Fazio, Jr.
Sheldon A. Zabel William Van Susteren Charles D. Fox IV SCHIFF HARDIN & WAITE 7200 Sears Tower 233 South Wacker Drive Chicago, Illinois 60606 (312) 876-1000 Dated: Janaury 15, 1982
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