ML20214K750
| ML20214K750 | |
| Person / Time | |
|---|---|
| Site: | Shoreham File:Long Island Lighting Company icon.png |
| Issue date: | 07/18/1986 |
| From: | Matchett S HUNTON & WILLIAMS, LONG ISLAND LIGHTING CO. |
| To: | Letsche K KIRKPATRICK & LOCKHART |
| References | |
| CON-#386-398 OL-5, NUDOCS 8608220075 | |
| Download: ML20214K750 (2) | |
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BRAHCH July 18,x1986 u,
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BY FEDERAL EXPRESS Karla J. Letsche, Esq.
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Kirkpatrick & Lockhart w&F,n NUMBER n __
1900 M Street, N.W.
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Washington, D.C. 20036
Dear Tip:
Enclosed is a complete set of the LILCO documents generated at the EOF during the February 13, 1986 exercise.
In your July l
2, 1986 letter you, in effect, requested a subset of EOF docu-
- ments, i.e., documents relating to dose assessment and protective action recommendations, that you thought would aid your under-l standing of the. activities of the radiation health group at the l
EOC.
LILCO responded on July 7, 1986 that it had already pro-i duced any EOF documents that had been received at offsite facili-j ties.
In order to avoid future disputes as to what documents con-stitute such " interface" documents, and to avoid potentially time-consuming disputes over the production or withholding of any EOF documents, LILCO is voluntarily producing all of the EOF player's documents.
Although these documents almost fill one xerox box, much of the material is duplicative of documents that LILCO has already produced because it was received at the EOC. In addition, there are multiple copies of many of the forms used-during the exercise. Therefore, the volume of EOF documents is not indicative of their substantive content.
LILCO emphasizes that by producing these documents it in no way intends to waive its argument that activities including the onsite emergency planning organization at the February 13 exer-cise, and "onsite" emergency planning issues generally, are be-yond the scope of this proceeding.
LILCO also understands that Intervenors accept this distinction and do not intend to attempt y,"{860522007586071e DR ADOCK 05000322 n
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Huwrow & WILLIAus Page 2-onsite emergency planning issues. Thus, there is no ts.
basis for compulsory production ot onsite exercise documenis merely to to litigate LILCO's gratuitous production of EOF documentsdelay h
outset the EOF documents any possible source of controversy concerningin partic Very truly yours, a
I Scott D. Matchett Service list cc:
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