ML20064J817

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Forwards Notices of Deposition Directed to F Von Hippel, G Thompson,C Perrow,R Lekachman,J Geiger & V Sidel
ML20064J817
Person / Time
Site: Indian Point  Entergy icon.png
Issue date: 01/13/1983
From: Brandenburg B, Colarulli P
CONSOLIDATED EDISON CO. OF NEW YORK, INC., MORGAN ASSOCIATES, POWER AUTHORITY OF THE STATE OF NEW YORK (NEW YORK
To: Blum J
NEW YORK UNIV., NEW YORK, NY
Shared Package
ML20064J823 List:
References
NUDOCS 8301180215
Download: ML20064J817 (2)


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T rTEC POWER AUTHORITY OF THE STATE Of dEWrYORK 10 Columbus Circle New York, New York 10019

'83 JM 17 P12 59 6 6gg CONSOLIDATED EDISON COMPANY OF NEW YORK, INC. 59. ) 6 4 Irving Place .. ,u, New York, New York }"0003yW.2 g.

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. January 13, 1983 Jeffrey M. Blum, Esquire New York University Law School 423 Vanderbilt Hall 40 Washington Square South New York, New York 10012

Dear Mr. Blum:

Enclosed is a formal Notice of Deposition for Frank von Hippel and Gordon Thompson.

We have been attempting to arrange with you a convenient date for their depositions since at least December 15, 1982 when we discussed their depositions during a telephone conference.

You were to check their availability for January 15, 1983, but you never informed us of the results of that ef fort.

To date, we still have not received a Statement of Professional Qualifications for von Hippel and have not received a list of documents upon which von Hippel and Thompson will rely for their Question One testimony. In addition, you have failed to notify us as to whether they would be appearing in a panel.

Failure to provide such information has seriously prejudiced our preparation for the depositions and for Question One presentation at the hearings.

We still await your cooperation on the provision of the necessary materials for these depositions and dates upon which they can be taken. We remind you of your oral representation that you would waive the January 14, 1983 deadline because of your difficulty in arranging dates for these witnesses' depositions and because we had agreed to provide several of our witnesses in a trip to California during the first week of 8301180215 830113 PDR ADOCK 05000247 C PDR

, Jof f rey it. Blum, Enquiro January 13, 1983 Page 2 January, thereby precluding depositions of von Hippel and Thompson during that time.

Very truly yours, C

Brent L. Brandenbuge'/*' ' - Paul F. Colarulli Assistant General Counsel Morgan Associates, Chartered Consolidated Edison Company Counsel for the Power Authority of New York, Inc. of the State of New York PFC:llb cc: Official Service List -

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