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Category:INTERROGATORIES; RESPONSES TO INTERROGATORIES
MONTHYEARML20076N4991994-10-31031 October 1994 Gulf States Utilities Co Second Supplemental Response to Cajun Electric Power Cooperative,Inc Second Set of Interrogatories Dtd 940908.* W/Certificate of Svc ML20078D3291994-10-28028 October 1994 Gulf States Utilities Company Second Supplemental Response to Cajun Electric Power Cooperative,Inc Second Set of Interrogatories,Dtd 940908.* W/Certificate of Svc ML20080A2971994-10-13013 October 1994 Gulf States Utilities Company Supplemental Responses to Cajun Electric Power Cooperative,Inc Second Set of Interrogatories Dtd 940908.* W/Certificate of Svc.Related Correspondence ML20073H2701994-09-22022 September 1994 Gsu Objections to Cajun Electric Power Cooperative,Inc Second Set of Interrogatories Dtd 940908.* Objects to Identified Interrogatories & Cajun General Instruction B.W/ Certificate of Svc.Related Correspondence ML20073H2631994-09-20020 September 1994 Gulf States Util Company Responses to Cajun Electric Power Cooperative,Inc Second Set of Interrogatories Dtd 940908.* Related Correspondence ML20072Q5061994-09-0606 September 1994 Gulf State Utilities Company Objections to Cajun Electric Cooperative,Inc. Interrogatories,Dtd 940822.* Gsu Objects to General Instruction B of Cajun Requests for Production of Document.W/Certificate of Svc.Related Correspondence ML20072Q4881994-09-0202 September 1994 Gsu Co Responses to Interrogatories Dtd 940822.* Informs That Responses Subj to Objections Filed by Util Dtd 940906. Related Correspondence ML20072P2201994-08-26026 August 1994 Gulf States Utilities Co First Request for Production of Documents to NRC Executive Director of Operations.* Requests Production of Documents as Listed.W/Certificate of Svc. Related Correspondence ML20072P2051994-08-26026 August 1994 Gulf States Utilities Co First Set of Interrogatories & Request for Production of Documents to Cajun Electric Power Cooperative,Inc.* Requests Production of Listed Documents. W/Certificate of Svc.Related Correspondence ML20093N2701984-07-24024 July 1984 Answers to First Set of Interrogatories & Response to Request for Production of Documents.Certificate of Svc Encl. Related Correspondence ML20091L0861984-06-0505 June 1984 First Set of Interrogatories & Request for Production of Documents to State of La & Joint Intervenors on Safety Contentions 1 & 2.Svc List Encl.Related Correspondence ML20081C3411984-03-13013 March 1984 Proposed Emergency Planning Contentions 1-12,identifying Major Flaws in Emergency Plan.Certificate of Svc Encl ML20147F1591978-10-0202 October 1978 Interrogatories to Cementon Civic Assoc Contentions That Staff & Applicant Failed to Fully Assess Geological Data & Evaluations Sufficiently to Determine Site Geological Stability Re Operation of Three Cement Plants 1994-09-06
[Table view] Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20205D4901999-02-22022 February 1999 Transcript of 990222 Informal Public Hearing on 10CFR2.206 Petition in Rockville,Md.Pp 1-105.Supporting Documentation Encl ML20155E1631998-09-25025 September 1998 Petition Per 10CFR2.206 Requesting That Plant Be Immediately Shut Down & OL Suspended or Modified Until Such Time That Facility Design & Licensing Bases Properly Updated to Permit Operation with Failed Fuel Assemblies ML20202F0081997-11-28028 November 1997 Order Approving Transfer of License for River Bend Station, Unit 1 ML20211P2771997-10-15015 October 1997 Application of RR Mabey,Chapter 11 Trustee for Cajun Electric Power Cooperative,Inc,For Transfer & Amend of License ML20116G9431996-08-0707 August 1996 Comment Supporting Proposed Rule 10CFR26 Re, Mods to Fitness-For-Duty Program Requirements RBG-42925, Comment on Draft Reg Guide DG-5007, Perimeter Instrusion Alarm Sys. Word Splices Should Be Changed to Terminations1996-05-29029 May 1996 Comment on Draft Reg Guide DG-5007, Perimeter Instrusion Alarm Sys. Word Splices Should Be Changed to Terminations ML20097D8631996-02-0909 February 1996 Suppl to Withdrawal of Contention & Motion for Termination of Hearing of RR Mabey,Chapter 11 Trustee for Util.* W/Certificate of Svc ML20100D2221996-01-25025 January 1996 Withdrawal of Contention & Motion for Termination of Hearing of RR Mabey,Chapter 11 Trustee for Cajun Electric Cooperative,Inc.* W/Certificate of Svc ML20096G4991996-01-16016 January 1996 Joint Motion to Suspend Procedural Schedule.* Requests That Procedural Schedule in Proceeding Be Suspended,Pending Action by Bankruptcy Court at Following Scheduled Hearing on 960122.W/Certificate of Svc ML20113G0751995-10-26026 October 1995 Transcript of Interview of J Fisicaro on 951026 in St Francisville,La ML20093G3461995-10-10010 October 1995 Joint Motion to Extend Hearing Date & Scheduling Order.* Trustee & Gsu Request That Prehearing Schedule & Hearing Schedule Be Revised So That All Depositions Be Completed by 960623.W/Certificate of Svc ML20113G0631995-07-27027 July 1995 Transcript of Interview of J Mcgaha on 950727 in St Francisville,La ML20113G0601995-07-21021 July 1995 Transcript of Interview of CR Maxson on 950721 in St Francisville,La ML20113G0421995-07-20020 July 1995 Transcript of Interview of Dn Lorfing on 950720 in St Francisville,La ML20113G0371995-07-19019 July 1995 Transcript of Interview of as Soni on 950719 in St Francisville,La ML20086P6501995-07-17017 July 1995 Joint Motion to Extend Hearing Date & Amend Scheduling Order.* Requests That Prehearing Schedule & Hearing Schedule Be Revised.W/Certificate of Svc ML20086D8841995-06-29029 June 1995 Comments on Proposed Rule Re, Review of NRC Insp Rept Content,Format & Style ML20113G0671995-06-16016 June 1995 Transcript of Interview of Wj Fountain on 950616 in St Francisville,La ML20113G0541995-06-15015 June 1995 Transcript of Interview of Jc Maher on 950615 in St Francisville,La ML20085E5891995-06-0909 June 1995 Comment Supporting Proposed Rule 10CFR73 Re Changes to NPP Security Requirements Associated W/Containment Access Control ML20083M7811995-05-10010 May 1995 Submits Request for Reevaluation of Cities of Benton,Conway, North Little Rock,Osceola,Prescott & West Memphis,Arkansas & Farmers Electric Cooperative Corp on Anti-Trust Issues ML20080G8241995-02-0606 February 1995 Cajun Electric Power Cooperative,Inc Answer in Opposition to NRC Staff Response in Support of Gsu Motion for Summary Disposition.* Requests That Aslp Find Staff Response Inadequate.W/Certificate of Svc ML20078C7131995-01-23023 January 1995 Cajun Electric Power Cooperative,Inc Answer in Opposition to Gulf State Utilities Company Motion for Summary Disposition.W/Certificate of Svc ML20078C7821995-01-23023 January 1995 Cajun Electric Power Cooperative,Inc Concise Statement of Matl Facts to Which Genuine Issue Exists Accompanying & Supporting Answer to Gulf State Utilities Company Motion for Summary Disposition.W/Certificate of Svc ML20078C7261995-01-19019 January 1995 Affidavit of WT Ullrich on Behalf of Cajun Electric Power Cooperative,Inc.* Affidavit Re Past Performance of & Future Decommission Plans of Plant ML20078C7441995-01-19019 January 1995 Affidavit of Jm Griffin on Behalf of Cajun Electric Power Cooperative,Inc.* Affidavit Re Past Performance of & Future Decommission Plans for Plant ML20078C7861995-01-0909 January 1995 Gulf States Util Co Statement of Undisputed Facts in Support of Motion for Summary Disposition.* Util Intends to Safely Operate Plant within Requirements of Operating License ML20082H2341995-01-0909 January 1995 Gulf States Utilities Co Motion for Summary Disposition.* W/Certificate of Svc ML20077C0911994-11-17017 November 1994 Gsu Co Answer to Cajun Electric Power Cooperative 941107 Motion to Compel.* Requests Denial of Cajun Electric Power 941107 Motion for Reasons as Stated.W/Certificate of Svc ML20076N3141994-11-0707 November 1994 Util Motion to Compel Responses to follow-up Discovery Requests & Answer to Motion for Protective Order.* Util Requests That ASLB Issue Order Against Gsu/Eoi Re Discovery Responses.W/Certificate of Svc ML20076N4991994-10-31031 October 1994 Gulf States Utilities Co Second Supplemental Response to Cajun Electric Power Cooperative,Inc Second Set of Interrogatories Dtd 940908.* W/Certificate of Svc ML20078C9751994-10-28028 October 1994 Gsu Objections to Cajun Electric Power Cooperative,Inc Followup Discovery Requests & Motion for Protective Order.* Cajun Electric Power Discovery Requests Relate to Matters Outside Proper Scope.W/Certificate of Svc ML20078D3291994-10-28028 October 1994 Gulf States Utilities Company Second Supplemental Response to Cajun Electric Power Cooperative,Inc Second Set of Interrogatories,Dtd 940908.* W/Certificate of Svc ML20080A1331994-10-21021 October 1994 Comment Supporting Proposed Rule 10CFR2 Re Reexamination of NRC Enforcement Policy.Advises That Util of Belief That NRC Focus on Safety Significance in Insps & Enforcement Policy Can Be Achieved by Utilization of Risk Based Techniques ML20080A2971994-10-13013 October 1994 Gulf States Utilities Company Supplemental Responses to Cajun Electric Power Cooperative,Inc Second Set of Interrogatories Dtd 940908.* W/Certificate of Svc.Related Correspondence ML20024J3081994-10-0303 October 1994 Cajun Electric Power Cooperative,Inc Motion to Compel Responses to Interrogatories & Production of Documents.* Requests Board to Issue Order Against Gsu Compelling Production of Listed Items.W/Certificate of Svc ML20073M3261994-10-0303 October 1994 Comment on Pilot Program for NRC Recognition of Good Performance by Nuclear Power Plants ML20073H2071994-09-30030 September 1994 Answer of Util to Motion to Compel Production & Provide for Addl Info Discovery.* Informs That Motion Should Be Denied. W/Certificate of Svc ML20073H0931994-09-29029 September 1994 Gulf States Utils Co Motion to Compel Answers to Interrogatories & Document Production Requests & for Other Relief*. Requests That Board Grant Util Addl Time to Conduct follow-up Discovery Based on Responses.W/Certificate of Svc ML20073H2301994-09-26026 September 1994 Notice of Appearance.* Undersigned Attys Enter Appearances in Proceeding.W/Certificate of Svc ML20073H2701994-09-22022 September 1994 Gsu Objections to Cajun Electric Power Cooperative,Inc Second Set of Interrogatories Dtd 940908.* Objects to Identified Interrogatories & Cajun General Instruction B.W/ Certificate of Svc.Related Correspondence ML20073H2121994-09-21021 September 1994 Gulf States Util Co Responses to Cajun First Request for Production of Documents Dtd 940822.W/Certificate of Svc. Related Correspondence ML20073H2631994-09-20020 September 1994 Gulf States Util Company Responses to Cajun Electric Power Cooperative,Inc Second Set of Interrogatories Dtd 940908.* Related Correspondence ML20072Q5061994-09-0606 September 1994 Gulf State Utilities Company Objections to Cajun Electric Cooperative,Inc. Interrogatories,Dtd 940822.* Gsu Objects to General Instruction B of Cajun Requests for Production of Document.W/Certificate of Svc.Related Correspondence ML20072Q4881994-09-0202 September 1994 Gsu Co Responses to Interrogatories Dtd 940822.* Informs That Responses Subj to Objections Filed by Util Dtd 940906. Related Correspondence ML20072P2051994-08-26026 August 1994 Gulf States Utilities Co First Set of Interrogatories & Request for Production of Documents to Cajun Electric Power Cooperative,Inc.* Requests Production of Listed Documents. W/Certificate of Svc.Related Correspondence ML20072P2201994-08-26026 August 1994 Gulf States Utilities Co First Request for Production of Documents to NRC Executive Director of Operations.* Requests Production of Documents as Listed.W/Certificate of Svc. Related Correspondence ML20072P2381994-08-26026 August 1994 Licensee Request for Board Approval of Written Interrogatories to Be Answered by NRC Personnel.* W/Certificate of Svc ML20072B8521994-08-0505 August 1994 Comment Opposing Proposed Rule 10CFR26 Re Consideration of Changes to FFD Requirements.Licensee Believes Reduction in Amount of FFD Testing Warranted & Can Best Be Achieved in Manner Already Adopted by Commission ML20065P4121994-04-25025 April 1994 Comment on Proposed Rule 10CFR50 Rule Re Code & Stds Re Subsections IWE & Iwl.Expresses Deep Concern About Ramifications of Implementing Proposed Rule 1999-02-22
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y M00RRESPONDENCE DOCKETED UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSIN Bb 0FFICE OF SECHi T/Mi In the Matter of ) 00C;% iHI 1 # k ilCf
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GULF STATES UTILITIES COMPANY ) Docket No. 50-458-OLA
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(River Bend Station, Unit 1) )
GULF STATES UTILITIES COMPANY'S OBJECTIONS TO CAJUN ELECTRIC POWER COOPERATIVE, INC.'s SECOND SET OF INTERROGATORIES DATED SEPTEMBER 8, 1994 I. INTRODUCTION Gulf States Utilities Company ("GSU") hereby objects to Cajun Electric Power Cooperative, Inc. (" Cajun") Interrogatories 2-2, 2-5, 2-8, 2-9 and 2-10 of Cajun's "Second Set of Interrogatories of Cajun Electric Power Cooperative To Gulf States Utilities Company, Entergy Operations, Inc., And All Affiliated Companies," dated September 8, 1994. These interrogatories are overbroad, burdensome, and not reasonably calculated to lead to the production of admissible evidence. GSU also renews its objection to General Instruction B of Cajun's " Requests for Production of Documents and Interrogatories" dated August 22, 1994 to the extent that this instruction carries over to Cajun's Second Set of Interrogatories.
9410050182 940922 '/))
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l II. ARGUMENT A. Cajun's Interrogatories Are Overbroad, Burdensome And Not Calculated To Lead To The Discovery Of Admissible Evidence Cajun Interrogatories 2-2, 2-5, 2-8, 2-9 and 2-10 essentially redirect at GSU, almost word-for-word, GSU Interrogatories 1, 4, 7, 8 and 9 originally posed to Cajun in " Gulf States Utilities Company's First Set Of Interrogatories And Request For Production Of Documents To Cajun Electric Power Cooperative, Inc." dated August 26, 1994. GSU narrowly framed these interrogatories with the objective of obtaining any bases for !
1 Cajun's claim that the margin of safety of the River Bend Station might be compromised. Such interrogatories were reasonably limited in scope when viewed in the context of response by a co-owner with no operating or safety responsibilities. For example, GSU Interrogatory 1, which asked Cajun to identify safety issues raised l by Caiun, was intended to elicit evidence concerning Cajun's !
knowledge of and ability to raise safety issues at River Bend that would substantiate Cajun's claims that its concerns were more than pretextual.
Redirected at GSU, however, these Interrogatories are overbroad, burdensome and not intended to lead to the discovery of j 1
admissible evidence as required by 10 C.F.R. S 2.740(b) (1) . For !
I example, when Cajun rephrased GSU Interrogatory 1 as Cajun Interrogatory 2-2 to GSU, Cajun asked for details concerning each !
and every safety issue, concern or allegation related to the 1
F 4 operation of River Bend station that has ever been identified or raised by GSU to Cajun, Entergy Operations, Inc. ("EOI"), or the NRC. In actuality, Cajun is asking for a rehearsal of the entire operating history of the River Bend Station prior to the turnover of operating responsibility to EOI on December 31, 1993. This information is and has always been available to Cajun. GSU should not be required to respond to such a wide-ranging and burdensome request with no connection to the admitted contention in this proceeding.
Like Interrogatory 2-2, Cajun Interrogatory 2-8 which seeks information about every meeting between GSU, EOI and the NRC, and Interrogatory 2-9 which inquires as to all GSU and EOI communications with the NRC, call for detailed information covering the entire history of the operation of River Bend. Interrogatory 2-5 is a word-for-word restatement of GSU interrogatory 4 to Cajun seeking information that is likely to be available only to Cajun in the form requested. Cajun Interrogatory 2-10 seeks information concerning any systematic plan or procedure for review by EOI or its consultants of safety matters arising at River Bend. While the amount of material that would need to be considered in responding ;
to GSU's original interrogatory to Cajun was limited in scopo due to Cajun's passive role regarding operation of River Bend, when directed at GSU, this question becomes overly broad. These l interrogatories, as directed at GSU and EOI, are far too broad in that they cover any safety matter raised at any time, rather than
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being limited to information specifically related to Cajun's admitted contention.
Federal court and NRC precedent support the conclusion that these interrogatories are overbroad and burdensome. Atomic Safety and Licensing Boards have found that the legal authorities ,
and federal court decisions involving Rule 26 of the Federal Rules of Civil Procedure provide appropriate guidelines for interpreting the discovery standards set forth in the Commission's rules. S_g.g Boston Edison Company (Pilgrim Nuclear Generating Station, Unit 2),
LBP-75-30, 1 NRC 579, 581 (1975). Under the Federal Rules:
. . . parties have a correlative obligation to tailor interrogatories to suit the particular exigencies of the litigation. They ought not to be permitted to use broadswords where scalpels will suffice, nor to undertake wholly exploratory operations in the vague hope that something helpful will turn up.
Mack v. Great Atlantic and Pacific Tea Company. Inc., 871 F.2d 179, 187 (1st Cir. 1989) (party was not required to respond to interrogatories requiring it to cull through 4 years of personnel records of hundreds of employees when a lesser time would plainly have sufficed). Thus, courts will not require parties to respond to interrogatories and requests for documents, such as those posed by Cajun, that are overly broad and unduly burdensome in light of the facts of the case. Stabilus v. Havnsworth, Baldwin, Johnson &
Greaves, 144 F.R.D. 258, 266 (E.D. Pa. 1992) (interrogatory in which law firm asked employer for all employee performance evaluations going back as much as 10 years for all employees
participating in any way in labor negotiations was overly broad and unduly burdensome in legal malpractice suit arising from legal ;
advice to employer during negotiations); see also Georcia Power Co. I
- v. EEOC, 295 F. Supp. 950 (N.D. Ga. 1968), aff'd 412 F.2d 462 (5th Cir. 1969) (court limited discovery to five years before alleged unlawful acts); General Insurance Co. v. EEOC, 491 F.2d 133 (9th Cir. 1974) (denial of discovery that sought to reach back in time eight years). Furthermore, aside from imposing heavy burdens on j GSU and EOI, repetition of GSU's interrogatories by Cajun could be viewed as being interposed for purposes other than legitimate discovery. This Board should heed the warning of the federal courts that " caution must be exercised to assure that discovery techniques are not made instruments of oppression." Carlson Comoanies Inc. v. Soerry & Hutchinson Co. , 374 F. Supp.1080, 1088 (D. Minnesota 1974).
Cajun's interrogatories also fail to meet the standard set forth in 10 C.F.R. 2.74 0 (b) (1) requiring that discovery requests be " reasonably calculated to lead to the discovery of admissible evidence." Atomic Safety and Licensing Boards have followed the federal courts in sustaining objections to interrogatories seeking information that is irrelevant to the issues in the proceeding. See Allied General Nuclear Services (Barnwell Fuel Receiving and Storage Station), LBP-77-13, 5 NRC 489, 492 (1977) (intervenor questions regarding reprocessing irrelevant to spent fuel storage proceeding) , citina Massachusetts
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Bondina & Ins. Co. v. Harrisbura Trust Co., 2 F.R.D. 197, 198 (M.D. I Pa. 1941); Dunbar v. United States, 502 F.2d 506, 509-10 (5th Cir. ,
1974); Goodman v. International Business Machine Coro., 59 F.R.D. I 278, 279 (N.D. Ill.1973); Griffin v. Memphis Sales & Manufacturina Co., 38 F.R.D. 54, 57 (N.D. Miss. 1965). As we noted in our objections to Cajun's First Set of Interrogatories, the Allied General licensing board upheld objections to interrogatories based on federal court precedent holding that practical considerations dictate that the parties should not be permitted to roam in shadow zones of relevancy and to explore matter which does not presently appear germane on the theory that it might conceivably become so.
5 NRC at 492, auctina Broadway & Ninetv-Sixth St. Realty Co. v.
Loew's Inc., 21 F.R.D. 347, 352 (S.D.N.Y. 1958).
B. Cajun General Instruction B Is Inconsistent With NRC Reaulations Governina Sunclementation Of Responses Cajun's General Instruction B as stated in its Requests For Production Of Documents And Interrogatories dated August 22, 1994 carries over to Cajun's Second Set of Interrogatories. For the reasons stated in " Gulf States Utilities Company's Objections to Cajun Electric Cooperative, Inc.'s Interrogatories dated August 22, 1994" (dated September 6, 1994) at 4-5, which is hereby incorporated by reference, GSU renews its objection to this instruction.
III. CONCLUSION For the reasons stated herein, GSU objects to the identified interrogatories and Cajun General Instruction B.
P Nonetheless, in order to attempt to be cooperative and to expedite the proceeding, GSU will respond to the disputed interrogatories. -
GSU is not thereby waiving its rights to object. GSU specifically ;
reserves the right to object to any followup discovery based upon the information provided in such answers and to the admissibility of that information.
Respectfully submitted, Mark J. Wetterhahn WINSTON & STRAWN 1400 L Street, N.W.
Washington, D.C. 20005 (202) 371-5700 Attorneys for Gulf States Utilities Company Dated at Washington, D.C.
this 22nd day of September, 1994 l
r-DOCKETED USHRC BEFORE THE ATOMIC BAFETY AND LICENSING BOARD 94 EP 23 P3 :19 In the Matter of )
) Docket N9FFRO-6.5820LA TARY GULF STATES UTILITIES COMPANY ) DOCKEllHG & SERVICE
) Re: License N1r6endn%nt (River Bend Station, Unit 1) ) (Transfer of Ownership and
) Control)
CERTIFICATE OF SERVICE I hereby certify that copies of " Gulf States Utilities Company's Responses to Cajun Electric Power Cooperative, Inc.'s Second Set of Interrogatories dated September 8, 1994" and " Gulf States Utilities Company's Objections to Cajun Electric Power Cooperative, Inc.'s Second Set of Interrogatories dated September 8, 1994" were both served on the following, by first class mail, postage pre paid, this 22nd day of September, 1994:
B. Paul Cotter, Jr., Esq. Docketing and Services Chairman, Atomic Safety Branch and Licensing Board U.S. Nuclear Regulatory U.S. Nuclear Regulatory Commission Commission Washington, D.C. 20555 Washington, D.C. 20555 Marian L. Zobler Dr. Richard F. Cole Ann P. Hodgdon, Esq.
Atomic Safety and Licensing Mitzi A. Young, Esq.
Board Office of the General Counsel U.S. Nuclear Regulatory U.S. Nuclear Regulatory Commission Commission Washington, D.C. 20555 Washington, D.C. 20555 Dr. Peter S. Lam
Atomic Safety and Licensing Thomas L. Rudebusch Board Duncan, Weinberg, Miller &
U.S. Nuclear Regulatory Pembroke, P.C.
Commission 1615 M Street, N.W.
Washington, D.C. 20555 Suite 800 Washington, D.C. 20036 0 Hand Delivery
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Victor J. Elmer Robert B. McGehee, Esq. ;
Vice President - Operations Wise Carter Child & Caraway i Cajun Electric Power 600 Heritage Building j Cooperative, Inc. P. O. Box 651 :
10719 Airline Highway Jackson, Mississippi 39205 i Baton Rouge, LA 70895 f Office of the Executive Director for Operations U.S. Nuclear Regulatory Commission Washington, D.C. 20555 i
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Mark 14 Wetterhahn i Winston & Strawn !
Counsel for Gulf States l Utilities Company i
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