ML20126A171

From kanterella
Jump to navigation Jump to search
Memorializes 850610 Telcon Re C Husted Request for Deferral of Time to Answer Commonwealth of PA 850528 Motion to Disqualify Counsel.Grant of Husted Request Confirmed.Svc List Encl
ML20126A171
Person / Time
Site: Crane 
Issue date: 06/10/1985
From: Bauser D
HUSTED, C.A., SHAW, PITTMAN, POTTS & TROWBRIDGE
To: Chilk S
NRC OFFICE OF THE SECRETARY (SECY)
References
CON-#285-386 CH, NUDOCS 8506130256
Download: ML20126A171 (3)


Text

.,3%

s SHAW, PITTMAN, PoTTs & TROWBRIDGE A PARTNERSMip INCLUDING PROFESSsONAL CORPORATIONS 18 00 M STR E ET. N. W.

TELEX WASHINGTON. D. C. 20036 TELECCPita

..... 3,snA.tA wsw.

<,0 3. a...C.........

Cm. m -

June 10, 1985

" ^ * = ' "

TELEPHONC (202,.22-1072 (303).22-8000 w.,7c.. O,u ct oiAt nu=.ca DOCKETED USHRC (202) 822-1215

'85 JUN 12 A10:33 Mr. Samuel J. Chilk, Secretary Nuclear Regulatory Cotunission GFF!CE OF SECEUM Washington, D.C.

20555 00CXEijhG & SEPVif f eRANCH Re: Metropolitan Edison Company (Three Mile Island Nuclear Station, Unit No. 1)

Docket No. 50-289 (CH)

Dear Mr. Chilk:

This letter memorializes the discussion that I had on the phone with you today with respect to Mr. Husted's request for the deferral of the time within which to answer the motion for disqualification of counsel filed by the Commonwealth of Pennsylvania.

On May 28, 1985, the Commonwealth of Pennsylvania filed a motion to disqualify the law firm of Shaw, Pittman, Potts &

Trowbridge from representing Mr. Charles Husted in the proceed-ing that Mr. Husted has requested concerning his integrity.

On June 4, 1985, Mr. Husted filed a motion to refer consideration of the Commonwealth's motion to the administrative law judge who will be. appointed to hear the Husted hearing.

The Commis-sion has not yet ruled on Mr. Husted's June 4 motion.

.In order to avoid foregoing his opportunity to respond to the merits of the Commonwealth motion, I called your office i

today to seek, on Mr. Husted's behalf, an extension of time within which to answer the Commonwealth's motion.

Specifical-ly, in the event Mr. Husted's June 4 motion is denied, Mr.

l Husted has requested a reasonable period of time after the Com-mission's order to respond to the Commonwealth motion.

As specified in the June 4 motion, if Mr. Husted's motion is granted, it is anticipated that the administrative law judge will establish an appropriate schedule for responding l

A gl(

D o

9 7

e

6 Letter-to Mr. Samuel J.IChilk June-10,-1985 Page 2 to.the Commonwealth-motion. - You. indicated to-me today that Mr.

Hu'sted's~ request for an extension of time within which to answer the Commonwealth's motion is granted.

Sincerely, b

Deborah B. Bauser Counsel for Mr. Husted cc: Service List k*

4

+o.

,y

+

s-UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE COMMISSION In the-Matter of

)

)

METROPOLITAN EDISON COMPANY

)

Docket No. 50-289 (CH)

-)

(Three Mile Island Nuclear

)

Station, Unit No. 1)

)

SERVICE LIST Mr. Samuel J. Chilk Mr. Philip R. Clark Secretary of the Commission President U.S. Nuclear Regulatory Commission GPU Nuclear Corporation Washington, D.C.

20555 100 Interpace Parkway Parsippany, New Jersey 0705.4 Herzel H. E. Plaine, Esquire Maxine Woelfling, Esquire General Counsel Office of Chief Counsel U.S. Nuclear Regulatory Commission Department of Environmental Resources Washington, D.C.

20555 505 Executive House P.O. Box 2357 Harrisburg, Pennsylvania 17120 Ivan W. Smith, Esquire Ms. Louise Bradford Chairman TMI ALERT Atomic Safety.and Licensing Board 1011 Green Street U.S. Nuclear Regulatory Commission Harrisburg, Pennsylvania 17102 Washington, D.C.

20555 Mr. Sheldon J. Wolfe Docketing and Service Section Administrative Judge Office of the Secretary Atomic Safety and L'icensing Board U.S. Nuclear Regulatory Commissioh U.S. Nuclear Regulatory Commission Washington, D.C.

20555 Washington, D.C.

20555 i

Mr. Gustave A. Linenberger, Jr.

Administrative Judge Atomic Safety and Licensing Board l

U.S. Nuclear-Regulatory Commission Washington, D.C.

20555 Jack R..Goldberg, Esquire Office of Executive Legal Director U.S. Nuclear Regulatory Commission Washington, D.C.

20555 l

l

~

...s