ML20059L932

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Advises NRC That J Curtiss Has Disqualified Himself from Participating in Matter Re Mosbaugh Allegations Involving Licensee.Served on 931115
ML20059L932
Person / Time
Site: Vogtle  Southern Nuclear icon.png
Issue date: 11/12/1993
From: Reynolds N
WINSTON & STRAWN
To: Chilk S
NRC OFFICE OF THE SECRETARY (SECY)
Shared Package
ML20059L935 List:
References
CON-#493-14468 OLA-3, NUDOCS 9311180016
Download: ML20059L932 (3)


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(2021 371 5717 November 12, 1993

. JEMD NOV 1 5 1993 Mr. Samuel J.

Chilk Secretary U.S.

Nuclear Regulatory Commission Washington, D.C.

20555

Dear Mr. Chilk:

In accordance with Rule 1.11(d) (2 )

of the D.C.

Rules of Professional Conduct, I am hereby advising you that all lawyers affiliated with the firm of Winston & Strawn are aware that James R.

Curtiss has disqualified himself from participating in any.

manner in the matter designated below:

Any matter involving the currently pending Mosbaugh allegations, including the Georcia Power Connany, et al.

(Voctle Electric Generatina Plant, Units 1 and 21 proceeding currently pending before the agency (Docket Nos. 50-424-OLA-3, 50-425-OLA-3) and the " Request for Proceedings and Imposition of Civil Penalties for Improperly Transferring Control of Georgia Power Company's Licenses to the SONOPCO project and for the Unsafe and Improper Operation of Georgia Power Company Licensed Facilities" (Docket Nos. 50-321, 50-366, 50-424, 50-425) filed with the agency on September 11, 1990

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Mr.

Curtiss, who previously disqualified himself as a

precautionary matter from participating in this matter, effective upon his joining the firm August 1, 1993, has now determined that his disqualification should become permanent.

Accordingly, Winston & Strawn has established a " Chinese f

Wall",

in accordance with Rule 1.11(c) of the D.C.

Rules of Professional Conduct, to ensure that Mr. Curtiss will be screened from participating in or discussing this matter or the representation with any partner, associate, or of counsel lawyer of the firm.

All attorneys and personnel of the firm have been advised that:

9311180016 931112

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WINSTON & STRAWN Mr. Samuel J.

Chilk November 12, 1993 Page 2 (1)

Mr. Curtiss is not and will not become involved in the representation of any W&S client in the foregoing matter.

(2)

No attorney or other person at W&S who has worked, is working or hareafter begins working on the foregoing i

matter will discuss confidential aspects of that work l

with, or reveal any confidential information about such l

representation to, Mr. Curtiss.

(3)

All files and documents relating to the foregoing matter l

have been secured by the attorneys responsible for the matter and nay not be examined by Mr. Curtiss.

(4)

Mr. Curtiss will not discuss any confidential aspect of his prior work on the foregoing matter with, or reveal any confidential information about such representation to, any W&S personnel.

(5)

As specified in Rule 1.11, Mr. Curtiss will not share in any fees resulting from the foregoing matter.

If you have any questions, pleas fe 1 free to contact me.

Sincer y,

Nicholas S.

R,nolds 1

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CERTIFICATE OF BERVICE i

I hereby certify that on November 12, 1993, a true and correct copy of the foregoing Correspondence addressed to Samuel

[

J.

Chilk was served by first class mail on:

W.

G.

Hairston III John Lamberski Senior Vice President Troutman Sanders Alabama Power Company 600 Peachtree Street, N.E.

P.

O.

Box 1295 Suite 5200 Bir=ingham, Alabama Atlanta, Georgia 30308-2216 Michael D.

Kohn, Esq.

Charles Barth, Esq.

Kohn, Kohn & Colapinto, P.C.

Office of General Counsel 517 Florida Avenue, N.W.

One White Flint North Wasnington, D.C.

20001 Stop 15B18 U.

S.

Nuclear Regulatory Commission Washington, D.C.

20555

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