ML20054K599

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Extends Due Date Until 820717 for Rockford League of Women Voters Response to NRC 810929 & 1009 First Request for Production of Documents & First Set of Interrogatories, Respectively
ML20054K599
Person / Time
Site: Byron  Constellation icon.png
Issue date: 06/30/1982
From: Goldberg S
NRC OFFICE OF THE EXECUTIVE LEGAL DIRECTOR (OELD)
To: Cherry M
CHERRY, M.M./CHERRY, FLYNN & KANTER
References
NUDOCS 8207020364
Download: ML20054K599 (1)


Text

r-June 30,1982 Myron M. Cherry, p.c.

CHERRY & FLYNN Three First National Plaza Suite 3700 Chicago, Illinois 60602 In the Matter of COMMONWEALTH EDIS0N COMPANY (Byron Station, Units 1 and 2)

Docket Nos. 50-454 and 50-455

Dear Mr. Cherry:

On September 29, 1981, the NRC Staff served on you by mail its First Request for the Production of Documents from Intervenir Rockford League of Women Voters. On October 9,1981, the Staff served on you by mail its First Set of Interrogatories to Intervenor Rockford League of Women Voters. For your convenience, additional copies cf these filings are enclosed. Ur. der the Commission's Rules of Practice, responses to these discovery requests would have been due on November 3 and October 29, 1981, respectively.

In the Staff's view, dismissal of the League as a party on October 27, 1981 temporarily relieved the League of its obligation to respond to these discovery requests.

Subsequent readmission of your client obviously reinstates this obligation. While a simple tolling of the response period from the time of dismissal to the time of readmission would be appropriate, the Staff is willing to extend the due date for the League's responses to its discovery requests until July 17, 1982. This will provide you with an additional ten days after the League has submitted answers to Commonwealth Edison's interrogatories and presumably decided which contentions it intends to litigate pursuant to ALAB-678. Of course, no responses will be necessary to document requests or interrogatories related to contentions which the League no longer intends to pursue.

Sincerely, Steven C. Goldberg Counsel for NRC Staff Enclosure as stated cc (w/o encl.):

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