ML20206C159
| ML20206C159 | |
| Person / Time | |
|---|---|
| Site: | Comanche Peak |
| Issue date: | 02/29/1988 |
| From: | Kohn M GOVERNMENT ACCOUNTABILITY PROJECT |
| To: | NRC |
| Shared Package | |
| ML20206C161 | List: |
| References | |
| FOIA-88-152 NUDOCS 8811160132 | |
| Download: ML20206C159 (2) | |
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GOVERNMENT ACCOUNTABILITY PROJECT 25 E Street, N.W., Suite 700 Washington. D.C. 20001 (202) 347 0460 February 29, 1988 fRIDOW 0F INFORMAT10ll EEN Director Division of Rules and Records "88 d
Office of Administration and Resources Mgmt.
J., [.g f U.S. Nucicar Regulatory Commission Washington, D.C.
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RE:
TOIA request To whom it may concern Currently the Government Accountability Project (CAP) represents certain confidential whistleblowers associated with the Conanche Peak nuclear facility.
On behalf of these confidential whistleblowers, GAP requests, pursuant to the Freedom of Information Act (5 U.S.C. 552) and the Privacy Act (5 i
U.S.C. 552a), all documents in the possession or control of the Nuclear Regulatory Commission (NRC), including drafts, telephone 1
messages, handwritten rates, status reports, transcripts, summaries, interview reports, investigation filer,, internal memoranda or any other record or evaluation of any kind, concerning the following:
1)
Any and all contact or correspondence between Texas Utilities Generating Company (TUGCO) and the NRC regarding the use of incorrect stiffness values for the class 1 stress analysis performed by Westinghouse at the Comanche Peak Steam Electric Station, as identified in SDAR Ho. CP-86-33:
2) any and all contact between the NRC and TUGCC concerning ellegations, as identified in j
the NRC's (allegation No. OSP-86-A-0148 (4-86-A-005) (
is a whistleblower with the NRC who is currently represented by the undersigned attorney and has expressly authorized me to seek this information on his behalf):
3) leproper or unethical conduct and/or improper engineering judgment on the part oft 1
KOHNDO-152 PDR 1
1
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c a)
Mr. John rinneran Lead pipe support engineers b)
Mt. Jay Ryan (currently at the Comanche Peak site; c)
Mr. George Michael Chamberlain (currently at the Comanche Peak sito) j d) any TUGCC attorney or law firm representing TUCCO in any forum, including Department of Labor (dol) section 210 proceedings.
l 4) any and all contact with any attorney, employee or agent of ToGCo that in any way cont:ctns or relates te 4
a) allegations; i'
b) section 210 case before the Department l
of Labor (case No.
, including i
conversations with any NRC witness contacted by i.
70GC0 attorneys or WRC attorneys, including any i
notes or recores prepared by NRC attorneys in j
preperation or anticlpation of any NRC witness to j
testify in case No.
)
Ne request that the NRC waive all fees that may be associated with this request as the the information sought is i
]
necessary to enable certain confidential allegers to evaluate i
specific safety concerns with the Comanche Peak nuclear facility.
}
should you exempt any document or portion thereof for any reason, please provide an index itemining and describing the document (s) or portions of a document (s) withheld.
The indes should be consistent with the requirements set forth in Vaughn v.
l Ro on, 484, r.2d 820, (D.C. Cir. 1973), cert. denied, 415 U.S.
I 1977).
l l
Last, as this ro!A is made at the request of certain confidential allegers, GAP requests that this request and any response thereto be kept "confidential
- and designated "enempt" i
f rom any future FO!A request that might require the release or I
this document to any entity outside the NRC.
GAP makes this request becasue release of this information will probably result it the identification of certian individual (s) the NRC has entered into confidentiality agreements with.
i Thank you for your help in this matter.
On behalf of l
certain confidential allegers, I as l
Sincerely yours, Michael D. Kohn, Esq.
Attorney for certain Confidential allegers l
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