ML19350D247: Difference between revisions

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: 6. Counsel for CESG has contacted the staff and Applicant and counsel for each opposes the granting of this r.totion.
: 6. Counsel for CESG has contacted the staff and Applicant and counsel for each opposes the granting of this r.totion.
: 7. Intervenor anticipates having a draft or solid outline of the findings by the 13th, but will not be able to. produce a final version until after that date.                          Intervenor does not have the staff and production facilities of the other parties.
: 7. Intervenor anticipates having a draft or solid outline of the findings by the 13th, but will not be able to. produce a final version until after that date.                          Intervenor does not have the staff and production facilities of the other parties.
                                                                                                                                                                ;
l                      Wherefore, based on the foregoing, CESG requests a ten day extention 1
l                      Wherefore, based on the foregoing, CESG requests a ten day extention 1
of time for the filing of Findings of Fact and Conclusions of Law in this matter.
of time for the filing of Findings of Fact and Conclusions of Law in this matter.

Revision as of 03:53, 18 February 2020

Request for 10-day Extension to File Proposed Findings of Fact & Conclusions of Law.Counsel Occupied W/Other Cases. Certificate of Svc Encl
ML19350D247
Person / Time
Site: Mcguire, McGuire  Duke Energy icon.png
Issue date: 04/06/1981
From: Blum S
CAROLINA ENVIRONMENTAL STUDY GROUP
To:
Atomic Safety and Licensing Board Panel
References
NUDOCS 8104140450
Download: ML19350D247 (3)


Text

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\ 9 l 000"m G. APR UNITED STATES OF AMERICA 7 ISO!

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d - l NUCLEAR REGhLATORY COMMISSION \. BEFORE THE ATCMIC SAFETY AND LICENSING BOARD l IN THE MATTER OF: ~ ) , * '4.3

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DUKE POWER COMPANY 50' 7 9,,, , 7,f; (William B. McGuire Nuclear Station ) D.k D'C units 1 and 2) ) -

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l l',Q&' CESG's MOTION FOR AN EXTENTION OF TIME TO FILE FINDINGS OF FACT AND CONCLUSIONS OF LAW Attorney for Intervenor, Carolina Environmental Study Group, says:

1. In this matter, findings of fact and conclusions of law were originally due on April 13, 1981, for CESG and Staff. That date is 25 days after the end of the hearing (less than that if the later affidavit procedure is adopted as the date ending the hearing and closing the record.) There are fewer than 25 days between the receipt of the transcript in Charlotte and April,13, 1981.
2. Subsequent to the hearing, both Jess Riley and Shelley Blum, technical advisor and counsel respectively, were ill for some time.
3. Subsequent to the hearing, both had to undertake other work committments, caused by the length of the hearing to be delayed.

In particular, Mr. Riley had work to do for Celenese as a consultant and Mr. Blum had the following: (a) Motions filed in U.S. v. Hobby on April 3, 1981, per Magistrate's Order, prior to a June 8, 1981 trial date. (b) Memorandum on continuing discrimination filed on April 6, 1981, prior to an April 15, 1981 hearing date. p 810.414o4'So & Y*J I* _

(c) General fallout from being out of the office for four weeks.

4. Intervenor had other responsibilities in connection with 1

i the NRC, including dealing with two motions filed by Applicant ' herein. One was responded to and in the other the Applicant has  ; kindly consented to an extention of time. Further, Mr. Riley must prepare to argue the appeal in the case involving transportation  ! of spent nuclear fuel from Oconee to McGuire on April 22, 1981. i 5. Counsel for Applicant is also involv'ed in said appeal.

6. Counsel for CESG has contacted the staff and Applicant and counsel for each opposes the granting of this r.totion.
7. Intervenor anticipates having a draft or solid outline of the findings by the 13th, but will not be able to. produce a final version until after that date. Intervenor does not have the staff and production facilities of the other parties.

l Wherefore, based on the foregoing, CESG requests a ten day extention 1 of time for the filing of Findings of Fact and Conclusions of Law in this matter. Dated: April 6, 1981. [ ~ l Shelley Blum ' Counsel for CESG 1402 Vickers Ave. l Durham NC 27707 l l O __ _ . _ _ _ . _ , , , _ . _ . . , , , . __ m_. _,_-.

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       ,                            UNITED STATCS OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING SOARD In the Matter of.                 )
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DUKE PCWER COMPANY ) Docket Nos. 50-369

                                              )                     50-370               t (William B. McGuire Nuclear      )

Station, Units 1 and 2) ) . . AFFIRMATION CF SERV 1CE , I hereby affirm that copies of the attached dccument(s) were served by placing then in the U.S. mails, postage prepaid, addressed as stated below on the c '- day of ! b.. / , 1981. Robert M. La o, Esq. Edward G. Ketchen, Esq. Chairman, Atocic Safety and Counsel for NRC Regulatory Licensing Board Staff U.S. Nuclear Regulatory Office of the Executive Commission Legal Director Washington, D.C. 20555 U.S. Nuclear Regulatory Commission Dr. E=meth A. Luebke Washington, D.C. 20555 Atomic Safety.and Licensing Board ' William L. Porter, Esq. U.S. Nuclear. Regulatory Associate General Counsel Commission Duke Power Company Washington , D.C. 20551 Post Office Box 2178 Charlotte, North Carolina 28242 Dr. R. Cole Chainnan Atomic Safety and Licensing Bd. Atomic Safety and Licensing US NRC Soard Panel Washington DC 20555 U.S. Nuclear Regulatory Commission - Washington, D.C. 20555 J. Michael McGarry, 111, Esq. Chase R. Stephens Debevoise and Liberman Docketing and Service 1200 Seventeenth-Street, N.W* Section Washington, D.C. 20036 Office of the Secretary Chairman, Atomic Safety

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Washington, D.C. 20555 U.S. Nuclear Regulatory Commission Washington, D.C. 20555 Qd[( NEelley"Blum / cttorney for Cr.SG

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1402 Vickers Ave. Durham, N.C. 27707

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