ML20066B525
| ML20066B525 | |
| Person / Time | |
|---|---|
| Site: | Comanche Peak |
| Issue date: | 07/13/1990 |
| From: | Kohn S KOHN, KOHN & COLAPINTO, P.C. (FORMERLY KOHN & ASSOCIA |
| To: | Grimsley D NRC OFFICE OF ADMINISTRATION (ADM) |
| References | |
| FOIA-90-316 NUDOCS 9101080097 | |
| Download: ML20066B525 (3) | |
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BY Facsimile and U.S. Mail TREEDOM Of INf0RMAil0N FREEDOM OF INFORMATION ACT REQUEST ACT REQUEST A iO 8/[cp Mr. Donnlo'H. Grimsley Freedom of Information Act Officer Nuclear Regulatory Commission
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Washington, D.C. 20555
Dear Mr. Grinsicy:
This is a request under the Freedom of Information Act, 5 U.S.C. 552 concerning NRC OI Investigation 4-09-008.
The NRC is hereby requestod to produce the following documents:
1.
The following exhibits to the NRC Office of Investigation Report entitled Comanche Peak Steam Electric Station:
Alleged Improprioties by Brown
& Root, Inc. (Case No. 4-89-008)(hereinafter OI Request):
a.
Ex. 1(b);
b.
Ex. 51 c.
Ex. 11 d.
Ex. 91 e.
Ex. 10; f.
Ex. 11; g.
Ex. 121 2.
All documents obtained by OI from Mr. T. Louis Austin and/or Brown & Root, Inc.;
3.
All correspondence between Mr. Austin, the Lawfirm of Shaw, Pittman, Potts and Trowbridge and/or the i
Lawfirm of Bishop, Cook, Purcell & Reynolds and OI; l
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1 Donnie H. Grimsley July 13, 1990 1
Page Two t
All copies of or excerpts from Mr. Austin's 4,
calendar (See OI Report pp. 13);
AlldocumentsreceivedfromMr.GlenG.Maformerly nuson 5.
Jr., or other attorneys who represent, or represented Mr. Austin and/or Brown-6 Root, Inc.;
All draft copies of the Macktal/ Brown & Root, Inc.
6.
settlement agreement; directly or indirectl, to All documents related(ain a copy of Magnuson s 7.
OI's ' attempts" to ob notes, memorandum and/or work product.
(See
'i
" Investigator's Note" on page 16-of the OY~~
Report);
2 All documents received from or concerning in any 8.
way Mr. Bill Bodman; i
9.
A copy of the settlement check (front and back) referenced on pages 18-19 of the OI Report; 10.
A copy of the "noto from Ellis" referenced on page 19 of the OI Report; 11.
A copy of the Ellis tape recording of Macktal referenced on page 16 of the OI Report; directly All documents created by Mr. Den Hayes,igation or 12.
or indirectly, related lo the OI invest Report; 13.
All documents which identify which employees and/or commissioner (s) of the NRC obtained a copy or notice of the OI Report and/or the findings of the OI.
14.
A copy of the notes-taken by Mr..Magnuson at the and any Macktal/Magnuson/ Austin meeting (s)d by aor fot memorandum (a) or documents prepare
~ Mr.
Magnuson concerning said meeting;-
15.
A copy of all documents prepared by or for Mr.
Magnuson in any way concerning Mr. Macktal; i
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Donnie H. Grimsley July J3, 1990 Page Three All documents obtained by OI from Texas Utilities 16.
Electric Co. (TUEC), Bishop, Cook, purcell and Reynolds, attorneys representing Brown and Root, TUEC, Garde,) Austin, Government Accountability Project GAP and/or Trial Lawyers for Public Justico TLPJ);
17.
All documonts obtained from GAP, TLPJ, Public Citizen [. Arnold and Porter and Jackson and Campbe1 For the purposos of this roquest " document" shall mean ovory writing of overy type and description, and overy other instrument or device by which, through which or on which information has been recorded and/or preserved, including but not limited to memoranda, including those reflecting notes, letters mootings, discussions or conversations, hotographs, doods, drawings, files, graphs, charts, maps p
agrooments, contracts,handwrittennobos,diarios, logs, lodgers, studios, data shoots, notobooks, books, appointment calendars, telephono bills, telephono messages, receipts, vouchers min pamphlets, computations, calculations,utos of mootings,inancial statomonts, voico accounting s), f recordings, computer prin(touts, computer discs and programs, and other data compilations, device or media on which or through which information of any type is transmitted, recorded or preserved.
The term " document" also means every copy of a document when such copy is not an identical duplicato of the original.
We request that all foos be waived.
Wo also request that all documents be produced within ten days.
Yours t uly, J
/
Stephen M. Kohn
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Ps. Billie Pirner Garde Government Accountability Project 1555 Connecticut Avenue, N. W. Suite 20?
Vashinoton, DC 20036
Dear Ms. Garde:
On Monday, March 3,1986, you and an individual who you identified as
" Charlie", visited NRC Headouarters in Bethesda, Maryland.
" Charlie" indicated he had some concerns regarding the construction practices at the Comanche Peak plant site and provided the staff with three of the
- concerns, in addition, it is my understanding that he has more concerns to provide to the staff. Therefore, the staff would like to set up a transcribed interview with him as soon as possible.
The staff would be prepared to conduct this interview irmediately upon completion of our interview of Mr. J. Macktal scheduled on March 11,1986 in Region IV.
I also understand that during a conversation with the staf f on March 4, you indicated that two individuals (unidentified) had contacted you to assist in bringing additional allegations to our attention.
We would request that interviews with both of these individuals be scheduled to follow immediately upon completion of the interview with " Charlie *, or the following day as time permits.
During these interviews, it will be necessary for the staff to obtain from these individuals their full name, mailing eddress, telephone number where they may be contacted, position or relationship to the Comanche Peak facility, and nature of all the allegations in as much detail as possible.
Please advise me if the foregoing can be arranged.
I can be contacted on telephone number (301) 492-7425.
Since v,
y/I.f/9 t b
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Vincent S. Noonan, Director PWR Pro.iect Directorate #5 Division of PWR Ucensing-A g g 4
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