ML12075A113: Difference between revisions
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| number = ML12075A113 | | number = ML12075A113 | ||
| issue date = 03/15/2012 | | issue date = 03/15/2012 | ||
| title = | | title = Diablo Canyon - March 2012 Hearing File Update | ||
| author name = Subin L | | author name = Subin L | ||
| author affiliation = NRC/OGC | | author affiliation = NRC/OGC | ||
Line 16: | Line 16: | ||
=Text= | =Text= | ||
{{#Wiki_filter:March 15, 2012 David A. Repka, Esq. | {{#Wiki_filter:March 15, 2012 David A. Repka, Esq. Diane Curran, Esq. | ||
Tyson Smith, Esq. | Tyson Smith, Esq. Harmon, Curran, Spielberg, and Eisenberg Carlos Sisco 1726 M Street NW Winston & Strawn LLP Washington, DC 20036 101 California Street Suite 600 San Francisco, CA 94111-5802 E-mail: dcurran@harmoncurran.com E-mail: drepka@winston.com trsmith@winston.com CSisco@winston.com Jill ZamEk, Esq. | ||
Carlos Sisco Winston & Strawn LLP 101 California Street San Francisco, CA 94111 | San Luis Obispo Mothers for Peace 1123 Flora Road Arroyo Grande, CA 93420 E-mail: jzk@charter.net In the Matter of Pacific Gas and Electric Company (Diablo Canyon Nuclear Power Plant, Units 1 and 2) | ||
-5802 E-mail: | Docket Nos. 50-275-LR and 50-323-LR | ||
San Luis Obispo Mothers for Peace 1123 Flora Road Arroyo Grande, CA 93420 E-mail: | |||
==Dear Parties:== | |||
Pursuant to the Licensing Board's Memorandum and Order dated September 15, 2010, the Staff will monthly provide the parties an index identifying the hearing file and mandatory disclosures in accordance with 10 C.F.R. §§ 2.1203 and 2.336. For purposes of producing the mandatory disclosures and hearing file, and considering any document as privileged or protected, the Staff treated documents created by agents and contractors of the NRC the same as if those documents were created by the Staff. Accordingly, the Staff did not produce any documents to be disclosed since the last mandatory disclosure and therefore there is no index. | |||
Pursuant to the Licensing Board's Memorandum and Order dated September 15, | Attached is the Affidavit of Elaine M. Keegan, as required by 10 C.F.R. § 2.336(c). | ||
. For purposes of producing the mandatory disclosures and hearing file, and considering any document as privileged or protected, the Staff treated documents created by agents and contractors of the NRC the same as if those documents were created by the Staff. | Respectfully submitted, | ||
Accordingly, the Staff did not produce any documents to be disclosed since the last mandatory disclosure and therefore there is no index. | /signed (electronically) by/ | ||
Lloyd B. Subin Counsel for the NRC Staff | Lloyd B. Subin Counsel for the NRC Staff : Affidavit of Elaine M. Keegan}} | ||
: | |||
Affidavit of Elaine M. Keegan}} |
Latest revision as of 23:12, 5 December 2019
ML12075A113 | |
Person / Time | |
---|---|
Site: | Diablo Canyon |
Issue date: | 03/15/2012 |
From: | Subin L NRC/OGC |
To: | Curran D, Repka D, Sisco C, Tanya Smith, Zamek J Harmon, Curran, Harmon, Curran, Spielberg & Eisenberg, LLP, San Luis Obispo Mothers for Peace, Winston & Strawn, LLP |
Subin L | |
References | |
50-275-LR, 50-323-LR | |
Download: ML12075A113 (3) | |
Text
March 15, 2012 David A. Repka, Esq. Diane Curran, Esq.
Tyson Smith, Esq. Harmon, Curran, Spielberg, and Eisenberg Carlos Sisco 1726 M Street NW Winston & Strawn LLP Washington, DC 20036 101 California Street Suite 600 San Francisco, CA 94111-5802 E-mail: dcurran@harmoncurran.com E-mail: drepka@winston.com trsmith@winston.com CSisco@winston.com Jill ZamEk, Esq.
San Luis Obispo Mothers for Peace 1123 Flora Road Arroyo Grande, CA 93420 E-mail: jzk@charter.net In the Matter of Pacific Gas and Electric Company (Diablo Canyon Nuclear Power Plant, Units 1 and 2)
Docket Nos. 50-275-LR and 50-323-LR
Dear Parties:
Pursuant to the Licensing Board's Memorandum and Order dated September 15, 2010, the Staff will monthly provide the parties an index identifying the hearing file and mandatory disclosures in accordance with 10 C.F.R. §§ 2.1203 and 2.336. For purposes of producing the mandatory disclosures and hearing file, and considering any document as privileged or protected, the Staff treated documents created by agents and contractors of the NRC the same as if those documents were created by the Staff. Accordingly, the Staff did not produce any documents to be disclosed since the last mandatory disclosure and therefore there is no index.
Attached is the Affidavit of Elaine M. Keegan, as required by 10 C.F.R. § 2.336(c).
Respectfully submitted,
/signed (electronically) by/
Lloyd B. Subin Counsel for the NRC Staff : Affidavit of Elaine M. Keegan