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{{#Wiki_filter:USCA Case #21-1162 | {{#Wiki_filter:USCA Case #21-1162 Document #1911960 Filed: 08/28/2021 Page 1 of 3 | ||
NETWORK and BEYOND NUCLEAR, | |||
: v. | UNITED STATES COURT OF APPEALS FOR THE DISTRICT OF COLUMBIA CIRCUIT | ||
UNITED STATES NUCLEAR | |||
REGULATORY COMMISSION and the UNITED STATES OF | OHIO NUCLEAR-FREE ) | ||
NETWORK and BEYOND NUCLEAR, ) Case No. 21-1162 | |||
Petitioners, ) | |||
: v. ) | |||
UNITED STATES NUCLEAR ) | |||
REGULATORY COMMISSION and the UNITED STATES OF ) | |||
: AMERICA, | : AMERICA, | ||
) | |||
Respondents. | Respondents. | ||
) | |||
RULE 26.1 DISCLOSURE STATEMENT Pursuant to Fed. R. App. P. 26.1 and D.C. Cir. Rule 26.1, Petitioners Ohio Nuclear-Free Network and Beyond Nuclear provide the following corporate disclosure statement. | |||
Petitioner Ohio Nuclear-Free Network is an unincorporated association of persons located in Ohio whose members have no ownership interests. None of its members have issued shares or debt securities to the public. | RULE 26.1 DISCLOSURE STATEMENT | ||
Beyond Nuclear is a non-profit corporation organized and existing under the USCA Case #21-1162 | |||
Beyond Nuclear advocates for an energy future that is sustainable, benign and democratic. Petitioner Beyond Nuclear does not have any parent companies, nor outstanding shares or debt securities in the hands of the public, nor any parent, subsidiary, or affiliates that have issued shares or debt securities to the public. | Pursuant to Fed. R. App. P. 26.1 and D.C. Cir. Rule 26.1, Petitioners Ohio | ||
Nuclear-Free Network and Beyond Nuclear provide the following corporate | |||
disclosure statement. | |||
Petitioner Ohio Nuclear-Free Network is an unincorporated association of | |||
persons located in Ohio whose members have no ownership interests. None of its | |||
members have issued shares or debt securities to the public. | |||
Beyond Nuclear is a non-profit corporation organized and existing under the | |||
USCA Case #21-1162 Document #1911960 Filed: 08/28/2021 Page 2 of 3 | |||
laws of the State of Maryland as a Section 501(c)(3) membership organization that | |||
aims to educate and activate the public about the connections between nuclear | |||
power and nuclear weapons and the need to abandon both to safeguard our future. | |||
Beyond Nuclear advocates for an energy future that is sustainable, benign and | |||
democratic. Petitioner Beyond Nuclear does not have any parent companies, nor | |||
outstanding shares or debt securities in the hands of the public, nor any parent, | |||
subsidiary, or affiliates that have issued shares or debt securities to the public. | |||
relevant to the litigation. | relevant to the litigation. | ||
/s/ Terry J. Lodge Terry J. Lodge, Esq. | |||
316 N. Michigan St., Suite 520 Toledo, OH 43604-5627 (419) 205-7084 Fax: (419) 932-6625 Email: tjlodge50@yahoo.com lodgelaw@yahoo.com | 316 N. Michigan St., Suite 520 Toledo, OH 43604-5627 (419) 205-7084 Fax: (419) 932-6625 Email: tjlodge50@yahoo.com lodgelaw@yahoo.com | ||
Eric Vincent Michel, Attorney U.S. Nuclear Regulatory Commission Washington, D.C. 20555-0001 Eric.Michel2@nrc.gov Andrew Averbach, Esq., Solicitor U.S. Nuclear Regulatory Commission Washington, D.C. 20555-0001 andrew.averbach@nrc.gov | /s/ Wallace L. Taylor Wallace L. Taylor Law Offices of Wallace L. Taylor 4403 1st Ave. S.E., Suite 402 Cedar Rapids, Iowa 52402 319-366-2428 Fax: 319-366-3886 E-mail: wtaylorlaw@aol.com | ||
Co-Counsel for Petitioners | |||
USCA Case #21-1162 Document #1911960 Filed: 08/28/2021 Page 3 of 3 | |||
CERTIFICATION | |||
I hereby certify that on this 28th day of August, 2021, I served the foregoing Rule 26.1 Disclosure Statement upon the following via electronic mail and via deposit of the foregoing document in the Courts electronic case filing system, which according to its protocols would automatically notify all counsel of record: | |||
Eric Vincent Michel, Attorney U.S. Nuclear Regulatory Commission Washington, D.C. 20555-0001 Eric.Michel2@nrc.gov | |||
Andrew Averbach, Esq., Solicitor U.S. Nuclear Regulatory Commission Washington, D.C. 20555-0001 andrew.averbach@nrc.gov | |||
/s/ Terry J. Lodge Terry J. Lodge Co-Counsel for Petitioners | |||
}} |
Latest revision as of 21:48, 19 November 2024
ML21243A246 | |
Person / Time | |
---|---|
Site: | 07007003, 07007004 |
Issue date: | 08/28/2021 |
From: | Lodge T, Taylor W Beyond Nuclear, Law Office of Terry Jonathan Lodge, Law Offices of Wallace L. Taylor, Ohio Nuclear Free Network (ONFN) |
To: | NRC/OGC, US Federal Judiciary, Court of Appeals, for the District of Columbia Circuit |
References | |
1911960, 21-1162 | |
Download: ML21243A246 (3) | |
Text
USCA Case #21-1162 Document #1911960 Filed: 08/28/2021 Page 1 of 3
UNITED STATES COURT OF APPEALS FOR THE DISTRICT OF COLUMBIA CIRCUIT
OHIO NUCLEAR-FREE )
NETWORK and BEYOND NUCLEAR, ) Case No. 21-1162
Petitioners, )
- v. )
UNITED STATES NUCLEAR )
REGULATORY COMMISSION and the UNITED STATES OF )
- AMERICA,
)
Respondents.
)
RULE 26.1 DISCLOSURE STATEMENT
Pursuant to Fed. R. App. P. 26.1 and D.C. Cir. Rule 26.1, Petitioners Ohio
Nuclear-Free Network and Beyond Nuclear provide the following corporate
disclosure statement.
Petitioner Ohio Nuclear-Free Network is an unincorporated association of
persons located in Ohio whose members have no ownership interests. None of its
members have issued shares or debt securities to the public.
Beyond Nuclear is a non-profit corporation organized and existing under the
USCA Case #21-1162 Document #1911960 Filed: 08/28/2021 Page 2 of 3
laws of the State of Maryland as a Section 501(c)(3) membership organization that
aims to educate and activate the public about the connections between nuclear
power and nuclear weapons and the need to abandon both to safeguard our future.
Beyond Nuclear advocates for an energy future that is sustainable, benign and
democratic. Petitioner Beyond Nuclear does not have any parent companies, nor
outstanding shares or debt securities in the hands of the public, nor any parent,
subsidiary, or affiliates that have issued shares or debt securities to the public.
relevant to the litigation.
/s/ Terry J. Lodge Terry J. Lodge, Esq.
316 N. Michigan St., Suite 520 Toledo, OH 43604-5627 (419) 205-7084 Fax: (419) 932-6625 Email: tjlodge50@yahoo.com lodgelaw@yahoo.com
/s/ Wallace L. Taylor Wallace L. Taylor Law Offices of Wallace L. Taylor 4403 1st Ave. S.E., Suite 402 Cedar Rapids, Iowa 52402 319-366-2428 Fax: 319-366-3886 E-mail: wtaylorlaw@aol.com
Co-Counsel for Petitioners
USCA Case #21-1162 Document #1911960 Filed: 08/28/2021 Page 3 of 3
CERTIFICATION
I hereby certify that on this 28th day of August, 2021, I served the foregoing Rule 26.1 Disclosure Statement upon the following via electronic mail and via deposit of the foregoing document in the Courts electronic case filing system, which according to its protocols would automatically notify all counsel of record:
Eric Vincent Michel, Attorney U.S. Nuclear Regulatory Commission Washington, D.C. 20555-0001 Eric.Michel2@nrc.gov
Andrew Averbach, Esq., Solicitor U.S. Nuclear Regulatory Commission Washington, D.C. 20555-0001 andrew.averbach@nrc.gov
/s/ Terry J. Lodge Terry J. Lodge Co-Counsel for Petitioners