ML20052H850
| ML20052H850 | |
| Person / Time | |
|---|---|
| Site: | Big Rock Point File:Consumers Energy icon.png |
| Issue date: | 05/19/1982 |
| From: | Semmel H ANTIOCH SCHOOL OF LAW, WASHINGTON, DC, BIER, MILLS, CHRISTA-MARIA, ET AL |
| To: | Bloch P, Parris O, Shon F Atomic Safety and Licensing Board Panel |
| References | |
| ISSUANCES-OLA, NUDOCS 8205240070 | |
| Download: ML20052H850 (2) | |
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ANTIOCH SCHOOL OF LAW (202) 265-9500 1624 Crescent Place N.W.
263316th Street N.W.
Washington', D.C.'20009 '
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May 19, 1982 Peter B.
Bloch, Esquire Dr. Oscar H.
Paris Administrative Judge '
Administrative Judge Atomic Safety and Licensing Atomic Safety and Licensing Board Panel Board Panel U.S.
Nuclear Regulatory U.S. Nuclear Regulatory Commission Commission Washington, D.C.
20555 Washing ton, D.C. 20555 f
Mr. Frederick J. Shon Administrative Judge Atomic Safety and Licensing Board Panel U.S.
Nuclear Regulatory Commission Washington, D.C.
20555 In the Matter of Consumers Power Company (Big Rock Point Nuclear Power Plant), Docket No.
50-155-OLA (Spent Fuel Pool Modification).
RE:
Licensee's Motion to Quash Subpeona Gentlemen:
No serious response is deemed necessary to Licensee's motion to quash, which is a transparent attempt to suppress relevant evidence.
The request for the subpeona states that the two witnesses would not appear voluntarily.
To set the record absolutely straight, they also declined to provide written testimony.
Hence no written testimony could have been filed by May 10.
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8205240070 820519 PDR ADOCK 05000155 G
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The relevance of the testimony of the Directors of Emergency Planning for the area is so obviously relevant to the admitted questions on emergency planning that no argument is necessary.
Respactfully
'bmitted
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Herbert Semme Attorney for Intervenors Christa-Maria, Bier and Mills a
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