ML20072G228

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Identifies Witnesses Util Expects to Call to Litigate Issues in Paragraph 3(a) of Agreement
ML20072G228
Person / Time
Site: Byron  
Issue date: 03/18/1983
From: Copeland V
COMMONWEALTH EDISON CO., ISHAM, LINCOLN & BEALE
To: Savage B
AFFILIATION NOT ASSIGNED
References
ISSUANCES-OL, NUDOCS 8303240550
Download: ML20072G228 (1)


Text

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ISHAM, LINCOLN & BEALE :aFETE' COUNSELORS AT LAW

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'""EIE"^2'O '83 MR 23 All :12 TELEPHONE 312 558 7500 EDMRO 5 ISHAM, 1872 1902 1120 C N T T AVENU.N W Fbn 13$NNc' wash,,5"'A'7c 20.

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S. gg cT March 18, 1983 FRANCH 202 *neno Mr. Brian Savage 1207 Kay Avenue Rockford, Illinois 61103 Re:

Commonwealth Edison Company (Byron Nuclear Power Station Units 1 and 2)

Docket Nos. 50-454 OL and 50-455 OL

Dear Mr. Savage:

Pursuant to our agreement the following persons are identified as witnesses we expect to call for purposes of litigating the issues identified by paragraph 3(a) of the agreement:

E.

Erie Jones David L.

Smith David D. Ed John C. Golden Thomas J. Horst Jean L. McCluskey Mr. Horst and Ms. McCluskey are employed by Stone & Webster,

Engineering Corporation and will address the Evacuation Time Study.

The other four witnesses will address those issues which fall within their area of responsibility as described l

in their previously filed testimony.

Very truly yours, 7Je Victor G. Copeland One of the Attorneys for Commonwealth Edison Company VGC:mbn cc:

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