ML20050C094
| ML20050C094 | |
| Person / Time | |
|---|---|
| Site: | Quad Cities |
| Issue date: | 03/29/1982 |
| From: | Fitzgibbons R ISHAM, LINCOLN & BEALE |
| To: | Dan Collins AFFILIATION NOT ASSIGNED |
| References | |
| NUDOCS 8204080129 | |
| Download: ML20050C094 (2) | |
Text
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g Mr. Doug, Collins 622 4th Avenue So.
Clinton, IA 52732 RE:
Commonwealth Edison - Quad Cities 1 & 2 Spent Fuel Pool Modification Hearings
Dear Doug:
As I explained during our telephone conversation on Thursday, March 25, Dr. Kris Singh, Commonwealth Edison Company's witness on Contention 9 (as numbered in Attachment No. 1 to Commonwealth Edison's first set of interrogatories and request for production of documents), will be out of the country the second week of May, 1982.
I expect that the hearings in the Quad Cities Spent Fuel Pool Modification Proceeding will commence during this period of time, and that Dr. Singh unfortunately will be unavailable for the presentation of his testimony.
To remedy this difficulty, I suggested during our conversation that Commonwealth Edison file Dr. Singh's prepared, written testimony earlier than would otherwise be required, and that Dr. Singh would be made available to you in the Quad Cities area so that your organizations could take his deposition.
This would allow your organizations to ask the same questions of Dr. Singh that would have been asked by your organizations at the hearing sessions.
I would expect that the NRC Staff would also be presen' at this deposition so that they could ask questions of Dr.
Singh.
The transcript of this deposition, as well as Dr.
Singh's prepared written testimony, would then be offered into evidence during the course of the hearing.
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's Mr. Doug Collins March 29, 1982 Page 2 In our conversation, we discussed the possibility of Dr. Singh's deposition being scheduled for the first week in May.
I understand that your organizations routinely meet on Tuesday evenings.
An evening session for the deposition of Dr. Singh would be perfectly acceptable to Commonwealth Edison.
In any event, Dr. Singh's prepared written testimony will be filed two weeks prior to the date scheduled for Dr.
Singh's deposition and Commonwealth Edison will supply the court reporter.
Yours trul,y,
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itzgibbonsJr.k.
Robert G.
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