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Issue date | Title | Topic | |
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ML20246C603 | 28 June 1989 | Notifies of Potential Significant Deficiency That May Be Reportable Under 10CFR21 Re Atmospheric Dump Valves,Per | |
ML20245K065 | 18 May 1989 | FOIA Request for Records Re DOL Complaint Filed by Jl Stites Against Util on 880802 | |
ML20196B536 | 23 November 1988 | Forwards Prompt Notification Sys Test Rept Using FEMA Region VI Reporting Form for Apr-Oct 1988 | |
ML20235Y958 | 18 March 1987 | Offers Svcs of J Geiger to Assist Recipient in Resolving Allegations Re Facility | |
ML20235Y870 | 5 March 1987 | Summarizes Discussions Re Investigation & Disposition of Concerns on Facility.Author Would Assure That Safeteam Provided Response Ltr Which Included More Detailed Description of Investigation Process | |
ML20210B228 | 26 January 1987 | Requests That Info Re Complaints Concerning Safety Issues at Plant Be Provided to Util or at Least Nrc.Gap Plans to Investigate Complaints Discussed in Encl 870120 & 01221 Articles.Served on 870205 | |
ML20197B939 | 6 May 1986 | Requests Removal of Name from Mailing List for 50.55(e) & Other Technical Documents & Correspondence.Receipt of All Pleadings Per Stated Administrative Proceeding Requested. W/Certificate of Svc.Related Correspondence | |
ML20115G446 | 17 April 1985 | Responds to 850409 Allegations Re FOIA Request to Selective Svc Sys.Nothing Illegal,Unethical or Unprofessional About FOIA Inquiry.Info Will Not Be Used to Harm Recipient. Related Correspondence | |
ML20113A836 | 9 April 1985 | Requests Public Apology from Util & Util Counsel for J Yenouskas 841120 & s to Selective Svc Sys Requesting Info on La Sinkin W/O Identifying Affiliation. Certificate of Svc Encl.Related Correspondence | |
ML20102C186 | 25 February 1985 | Advises That L Sinkin Atty for Citizens Concerned About Nuclear Power,Not Client,Per Request for Personal Records from Selective Svc Sys.Distinction Between Client & Counsel Unclear.Certificate of Svc Encl | |
ML20106D057 | 7 February 1985 | Considers Characterization of Request for L Sinkin Personal Records from Selective Svc Sys as Routine Background Check Into Qualifications Fanciful.Certificate of Svc Encl.Related Correspondence | |
ML20101S840 | 1 February 1985 | Responds to & Confirms Author Request for Publicly Available Records of Selective Svc Sys.No Investigation by Author or Util Undertaken.Related Correspondence | |
ML20101R424 | 29 January 1985 | Confirms 850128 & 29 Telcons Re Request for Extension of Time to File Response to NRC 841221 Affidavit.Response Time Extended to 850225 & 0311 for Responsive Pleadings. Certificate of Svc Encl | |
ML20101D048 | 17 December 1984 | Forwards 841130 & 1210 Ltrs to Aslab Inadvertently Sent to Incorrect Address.List of All Matls Filed by Firm Between 840413 & 1130 W/Aslb & Aslab Provided to Ensure Receipt. Certificate of Svc Encl.Related Correspondence | |
ML20197D890 | 30 September 1983 | FOIA Request for Records Re South Texas Project (STP) in Connection W/Houston Lighting & Power Co Ownership of STP & Brown & Root,Inc,In Connection W/Design & Const of STP | |
ML20024F297 | 7 September 1983 | Confirms Recent Conversations Agreeing to Jh Goldberg 830927 Deposition in Friendwood,Tx.Certificate of Svc Encl | |
ML20076F736 | 22 August 1983 | Forwards Notice of J Goldberg Deposition.Related Correspondence | |
ML20009B610 | 2 July 1981 | Advises That 801007 Part 21 Rept Re Reportable Defect Was Unfounded.Nrc Determined Rept Closed.Requests Ack of Ltr | |
ML19339C309 | 6 November 1980 | Responds to Intervenor 801030 Request for Documents.Util Correspondence W/Nrc Re Const Deficiencies Available in Lpdr in San Antonio,Tx.Certificate of Svc Encl | |
ML19339A831 | 30 October 1980 | Requests Const Deficiency Repts Missing from Files.Related Correspondence | |
ML19339A835 | 29 October 1980 | Requests Name of Company Hired for Testing Backfill for Stability & Relationship to Util,Brown & Root or Any Other Facility Affiliates | |
ML19338F827 | 21 October 1980 | Responds to 801015 Ltr Re Release of Potential Exhibits for Which Util Has Claimed Confidential Treatment.Objects to Release of Matl Per ASLB 790724 Stipulation to Protective Order.Lists Documents Which Can Be Released W/O Restriction | |
ML19332A265 | 8 September 1980 | Confirms Conversation Re Objection & Intent Not to Respond to Util 800825 Interrogatories & Document Requests.Factual Discovery Closed Since 800314.Interrogatories Are ill-timed as Efforts Have Been Made to Encourage Settlement | |
ML19344E571 | 28 August 1980 | Requests That Info Be Provided to All Parties Re Wheeling Rate Development Per 800826 Discussions.Discusses Principles to Be Considered Re Smaller Util Participation in Facility Ownership | |
ML19330B967 | 1 August 1980 | Notifies That Resumption of Deposition Indefinitely Postponed & Will Be Rescheduled.Svc List Encl | |
ML19320D457 | 10 July 1980 | Reviews 800702 Draft Transmission Svc Settlement Agreement. Document Found to Be Unacceptable Due to Provisions Making Austin Jurisdictional as Practical Matter for Wheeling. Postage Stamp Wheeling Rate Is Not Proper in Tx | |
ML19320C258 | 8 July 1980 | Identifies Documents to Be Produced within 30 Days Per P Buchorn Deposition Testimony Re Application for Ol.Related Correspondence | |
ML19330B133 | 7 July 1980 | Requests Confirmation That Meeting Notes,Members Names, Documents & Records,Position Papers,Taped Conversations, Consent of interviewees,by-laws & Notes Will Be Provided as Agreed in Deposition.Related Correspondence | |
ML19330B136 | 2 July 1980 | Discusses 800618 Deposition & Request for Documents.Requests Reasons for Document Request within 14 Days & Change in Date of Deposition to Last Wk in Jul in San Antonio,Tx.Related Correspondence | |
ML19320A752 | 10 June 1980 | Ack Receipt of 800530 Ltr to Tx Parks & Wildlife Dept Advising That Tx Utils Generating Co Is Not Prepared to Enter Into Lease Agreement W/Dept Covering Squaw Creek Reservoir.Requests Info Re Util Intentions | |
ML19320A778 | 10 June 1980 | Confirms Understandings Re Withdrawals of Brown & Root Brochure on Implementation of QA Program at Job Site & Associated Videotape.Copies Will Be Available as Evidence in Order to Show Cause & Pending OL Application | |
ML19316B124 | 2 June 1980 | Discusses Possible Solutions to Matter Raised by P Buchorn at 800529 Meeting Concerning Application for Ol.Suggests That P Buchorn Submit List of Specific Documents for Examination or Duplication | |
ML19316B060 | 20 May 1980 | Confirms Final Arrangements for P Buchorn,L Sinkin & D Swayze Depositions.P Buchorn & L Sinkin Depositions Scheduled 800617 & 18,respectively,in San Antonio,Tx & D Swayze Deposition Scheduled 800619 in Bay City,Tx | |
ML19324A043 | 8 May 1980 | Ack 800506 Telcon Re Agreement for P Buchorn 800617 Deposition in San Antonio,Tx.Sinkin Deposition Will Be Taken on 800618 & Swayze on 800619-21 | |
ML19310A059 | 7 May 1980 | Advises That Public Utils Board of City of Brownsville,Tx Does Not Agree W/Dm Stahl Version of Facts Re Bruggeman Deposition.Labeling Matter as Misunderstanding Considered as Polite Understatement | |
ML19323H248 | 5 May 1980 | Confirms & Notifies Parties of L Sinkin 800618 Deposition. Rescheduling Necessitated by Involvement in Other Hearing. Suggests 800617 for Buchorn Deposition.Related Correspondence | |
ML19316B206 | 28 April 1980 | Confirms & Notifies of Agreement for DE Swayze 800619-21 Deposition,Subj to ASLB Granting of Motion for Discovery Extension.Place Will Be Determined at Later Time | |
ML19323F914 | 21 April 1980 | Provides Notice & Confirmation of 800417 Telcon,Re QA Procedure 2.6 Extension of Discovery Period & Swayze & Sinkin Depositions.Recipient Deposition Will Be Taken on 800515 | |
ML19316A963 | 18 April 1980 | Discusses DE Swayze Contemplated Oral Deposition Which Cannot Be Put Off Later than 800622.Inquires Whether Recipient Will Be Available During Wk of 800609 or 16. Subpoena Will Be Issued If Cooperation Is Not Forthcoming | |
ML19316A979 | 16 April 1980 | Ack Receipt of 800409 Ltr & Advises That Submitting Questions in Advance Is Not Practical.Deposition Will Focus on Allegations of QA & QC Failures.Work Product Will Be Discussed Prior to 800514 | |
ML19305E571 | 16 April 1980 | Forwards Correspondence Between DOJ & Doe,Re WE Scott Availability as Doi Expert Witness,For Redeposition | |
ML19344D600 | 4 April 1980 | Advises of Arrangement to Deliver Houston Lighting & Power Pleadings Moving to Compel Documents Re E Mcginnes & P Wetzel Subpoenas.Consents to 14-day Extension for Responses. Certificate of Svc Encl | |
ML19309C005 | 13 March 1980 | Forwards DOJ Third Supplemental Response to Houston Lighting & Power Co First Set of Interrogatories.Documents Responsive to Util 790204 Second Set of Interrogatories Encl.Documents Re Second Interrogatories Not Encl | |
ML19309C981 | 13 March 1980 | Ack Receipt of & Accepts 800312 Ltr in Lieu of Interrogatory Answer Per 800307 Prehearing Ruling.Ltr Does Not Solve Houston Lighting & Power Problems Re C Stover Deposition.Doj 800311 & 12 Ltrs & Certificate of Svc Encl | |
ML19309D153 | 11 March 1980 | Forwards DOJ Subpoena Requiring DE Simmons,Util Vice President,To Testify 800331-0402.Confirms That Simmons Will Be Available for Deposition on 800404-05 Instead of Dates Listed in Subpoena.W/O Encl | |
ML19305C825 | 10 March 1980 | Forwards Notice of Taking of Deposition of D Springs | |
ML19309D723 | 10 March 1980 | Notifies That W Scott Deposition Scheduled for Mar Is Cancelled.Cancellation Based on DOJ Representation That Scott Would Be Called as Expert Withness | |
ML19309D288 | 6 March 1980 | Notifies That DOJ Received Houston Lighting & Power Co Supplemental Answers to Central Power & Light Co First Interrogatories W/O Apps.Requests Attachment a to Houston Power & Light Co Second Set of Addl Answers to NRC | |
ML19305D040 | 4 March 1980 | Confirms 800229 Telcon Re DOJ Subpoena of Documents from Gulf States Utils.Subpoena Covers Certain Areas Also Covered in Brownsville Public Utils Subpoena.Util Documents Will Be Available to All Parties | |
ML19312D695 | 3 March 1980 | Advises of Documents' Availability for Insp & Copying,Per DOJ Request at a Gerber Deposition.Documents Consist of Houston Lighting & Power Transmittal & Houston Exihibits. Certificate of Svc Encl |