ML20127F297

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FOIA Request for Documents Re Law Enforcement Investigation at Plant Concerning Core Cooling Sys,Including Repts, Studies,Test Results,Correspondence,Memos,Meeting Notes & NRC Allegation Case File RII-84A-0145
ML20127F297
Person / Time
Site: Vogtle  Southern Nuclear icon.png
Issue date: 03/10/1985
From: Fowler L
CAMPAIGN FOR PROSPEROUS GEORGIA (EDUCATIONAL), LEGAL ENVIRONMENTAL ASSISTANCE FOUNDATION
To: Felton J
NRC OFFICE OF ADMINISTRATION (ADM)
References
FOIA-85-203 NUDOCS 8506250106
Download: ML20127F297 (1)


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Imgal Environmental Assistance Foundation (LEAF) J 1102 Healey Building,57 Forsyth St., Atlanta, GA 30303 (404/688-3299)

March 10, 1985 James M. Felton, Director Division of Rules and Records Office of Administration FREEDOM OF INFORMATIOes U.S. Nuclear Regulatory Commission ACT REQUEST Washington, D.C. 20555 FREEDOM OF INFORMATION ACT REQUEST

Dear Mr. Felton,

Pursuant to the Freedom of Information Act, 5 U.S.C. 522, as amended, the Campaign for a Prosperous Georgia requests the following documents regarding the results of a law enforcement investigation at Plant Vogtle relating in part to the core cooling system. Please consider " documents" to include reports, studies, test results, correspondence, memoranda, meeting notes, meeting minutes, working papers, graphs, charts, diagrams, notes and summaries of conversations and interviews, computer records, and any other forms of written communication, including internal NRC staff memoranda.

Pursuant to this request, please provide all documents prepared or utilized by, in the possession of, or routed through the NRC including and related to:

NRC Allegation Case File RII-84-A-0145 as identified in your response to my FOIA request 84-768.

Because the Campaign for a Prosperous Georgia is a non-profit organization serving as a clearinghouse and consumer advocate regarding energy issues in Georgia and is an intervenor in the NRC operating licensing proceedings for Plant Vogtle, we believe it is appropriate for you to waive copying and search charges, pursuant to 5 USC 552 (a) (4) (a) . In this case " furnishing the information can be considered as primarily benefitting the general public."

Sincerely, M NA Laurie Fowler Attorney for Campaign for a Prosperous Georgia Central Appalachian Office Alabama Office 602 Gay St., Suite 507 2330 liighland Ase. S. ._

Knouille, TN 37902 Birmingham, At 35203 A Public Interest I aw I~irm 8506250106 850310 PDR FOIA FOWLER 85-203 PDR

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