ML20215N133

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Notifies of Commission Directive That Detail as Acting Director of Ofc of Inspector & Auditor Terminated Effective C.O.B. on 860327.Recipient Will Be Returned to Permanent Position as Administrative Judge of Aslab
ML20215N133
Person / Time
Issue date: 03/27/1986
From: Palladino N
NRC COMMISSION (OCM)
To: Edles G
NRC OFFICE OF INSPECTOR & AUDITOR (OIA)
Shared Package
ML20215N096 List:
References
FOIA-86-85 NUDOCS 8611040337
Download: ML20215N133 (1)


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g UNITED STATES NUCLEAR REGULATORY COMMISSION (l '

E WASHINGTON, D. C. 20565 o O

March 27, 1986 i

\,***** (D CHAlW AN g /f, MEMORANDUM FOR: Gary Edles, Acting Director Office of Inspector and Auditor FROM: Nunzio J. Palladino '

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SUBJECT:

TERMINATION OF DETAIL At the direction of the Commission, your detail as Acting Director of the Office of Inspector and Auditor is terminated effective Close-of-Business today. Thereafter, you are returned to your permanent position as. Administrative Judge of the Atomic Safety and Licensing Appeal Panel.

The Commission very much appreciates your willingness to serve in your temporary assignment for the past two' months. You responded to this assignment with zeal and enthusiasm and performed the job in an outstanding manner. You have the gratitude of the Commission for this service.

cc: Commissioner Roberts Commissioner Asselstine Commissioner Bernthal Commissioner Zech Alan Rosenthal Sharon Connelly N. Bentson, ADM

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8611040337 861031 PDR FOIA GARDE 86-85 PDR g 47

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. GOVERNMENT ACCOUNTABILITY PROJECT  :

1555 Connecticut Awnue, N.W., Suite 202 l Woshington, D.C. 20036 (202)232-8550 l February 10, 1986 PREEDOM OF INFORMATION ACT REQUEST FREEDOM OF INFORMATf0N Director ACT REQUEST Office of Administration d "((p.pf Nuclear Regulatory Commission Washington, D.C. 20555 /)v d2* //*J'[,

To Whom It May Concern:

Pursuant to the Freedom of Information Act ("FOIA"), 5 U.S.C. 552, the Government Accountability Project (" GAP")

requests copies of any and all agency records and information, including but not limited.to notes, letters, memoranda, drafts,

. minutes, diaries, logs, calendars, tapes, transcripts, summaries, interview reports, procedures, instructions, engineering analyses, drawings, files, graphs, charts', maps, photographs, agreements, handwritten notes, studies, data sheets, notebooks, books, telephone messages, computations, voice recordings, computer-runoffs, any other data compilations, interim and/or final reports, status reports, and any and all other records developed in the investigation of all EEO complaints filed by employees of the Office of Inspection and Auditor against employees of the Office of Inspection and A..ditor.

This request includes all agency records as defined in 10 C.F.R. $9.3a(b) and the NRC Manual, Appendix 0211, Parts 1.A.2 and A.3 (approved October 8, 1980) whether they currently exist in the NRC official, " working", investigative or other files, or at any other location, including private residences.

If any records as defined in 10 C.F.R._$9.3a(b) and the NRC Manual, supra, and covered by this request have been destroyed and/or removed after this request, please provide all surrounding records, including but not limited to a list of all records which have been or are destroyed and/or removed, a description of the action (s) taken relevant to, generated in connection with, and/or issued in order to-implement the action (s).

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-GAP requests that fees be waived, because " finding the information can be considered as'primarily benefitting the general public," 5 U.S.C. $552(a)(4)(a). GAP is a non-profit, non partisan public interest organization concerned with honest and open government. Through public outreach, the Project.

promotes whistleblowers as agents of government accountability.

We are. requesting the above information as part of an ongoing monitoring project on the adequacy-of Region II and the NRC 's ef forts 'tx) protect public safety and-health at nuclear

. power plants.

For any documents or portions that you deny due to a specific FOIA exemption, please provide an index itemizing and describing the documents or portions of documents withheld. The index- should provide a detailed justification of your grounds for claiming each exemption, explaining why each exemption is relevant to the document or portion of the document withheld.

This index is required under Vaughn v. Rosen (I), 484 F.2d 820 (D.C. Cir. 1973), cert. denied, 415 U.S. 977 (1974).

We look forward to your response to this request within ten days.

Sincerely, h

Billie Pirner Garde Director Environmental Whistleblower Clinic i

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