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=Text=
=Text=
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{{#Wiki_filter:_..
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GOVERNMENT ACCOUNTABILITY PROJECT -                           W 1555 Connecticut Avenue, N.W., Suite 202 Washington, D.C. 20036
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GOVERNMENT ACCOUNTABILITY PROJECT -
HAND-DELIVERED m 1     o September 17R1984gf Ernest L. Blake, Jr., Esquire Shaw, Pittman, Potts & Trowbridge 1800 M Street N.W.
mg -
Washington, D.C. 20036
W 1555 Connecticut Avenue, N.W., Suite 202
,g go go MN2) 232-8550 Washington, D.C. 20036 HAND-DELIVERED m 1 o
September 17R1984gf Ernest L. Blake, Jr., Esquire Shaw, Pittman, Potts & Trowbridge 1800 M Street N.W.
Washington, D.C.
20036


==Dear Ernie:==
==Dear Ernie:==
This Saturday I completed my review of the documents GPU has produced up to this point in response to TMIA's First Request for Production and First Set of Interrogatories concerning the issue of the Dieckamp mailgram.
This Saturday I completed my review of the documents GPU has produced up to this point in response to TMIA's First Request for Production and First Set of Interrogatories concerning the issue of the Dieckamp mailgram.
In my review of these documents, I discovered some " gaps" or portions of the documents which appear to be missing. I am listing in this letter these gaps or portions of the documents which appear to be missing.
In my review of these documents, I discovered some " gaps" or portions of the documents which appear to be missing.
In addition, I requested a list of certain documents identified by GPU employees to be relevant to the Dieckamp mailgram issue. In the list pro-vided to you were engineers' logs from the Observation Center. I understand you determined these logs were not relevant to TMIA's discovery request.
I am listing in this letter these gaps or portions of the documents which appear to be missing.
These were, however, deemed relevant by V.P. Orlandi. It appears to me that engineer logs maintained at the Observation Center would certainly be relevant, insofar as they recorded information reaching the Observation Center on the first three days of the accident, March 28 through March 30, 1979.
In addition, I requested a list of certain documents identified by GPU employees to be relevant to the Dieckamp mailgram issue.
As you know, at least one of the individuals who says she was aware of the hydrogen explosion on March 28 stated that she obtained that information through the Observation Center. Therefore, I believe these logs are relevant to the Dieckamp mailgram issue. Further, I do not understand why GPU has chosen to withhold these logs when other logs have been released in response to TMIA's discovery requests.
In the list pro-vided to you were engineers' logs from the Observation Center.
I understand you determined these logs were not relevant to TMIA's discovery request.
These were, however, deemed relevant by V.P. Orlandi.
It appears to me that engineer logs maintained at the Observation Center would certainly be relevant, insofar as they recorded information reaching the Observation Center on the first three days of the accident, March 28 through March 30, 1979.
As you know, at least one of the individuals who says she was aware of the hydrogen explosion on March 28 stated that she obtained that information through the Observation Center.
Therefore, I believe these logs are relevant to the Dieckamp mailgram issue.
Further, I do not understand why GPU has chosen to withhold these logs when other logs have been released in response to TMIA's discovery requests.
The gaps which I have detected in other documents disclosed to TMIA are the following:
The gaps which I have detected in other documents disclosed to TMIA are the following:
(1) Mr. Dieckamp's notes were produced. Although he appears to be a proli fic note-taker, his notes for March 28 end in the early morning hours and no notes for March 29 were produced.
(1) Mr. Dieckamp's notes were produced. Although he appears to be a proli fic note-taker, his notes for March 28 end in the early morning hours and no notes for March 29 were produced.
(2) A document provided in response to TMIA Interrogatory No. 43 purports to be " Logs from Unit I Control Room" for the period of March 28 through March 30, 1979. In fact, the document only contains one page which records information from a day other than March 30. That page records radiation readings starting at 9:49 p.m. in the evening (21:49). Obviously, j           the document contains no readings from the early part of March 28, 1979, which is the time period when the hydrogen explosion and the pressure spike occurred.
(2) A document provided in response to TMIA Interrogatory No. 43 purports to be " Logs from Unit I Control Room" for the period of March 28 through March 30, 1979.
f
In fact, the document only contains one page which records information from a day other than March 30.
!      8409190392 840917 PDR ADOCK 05000289 i
That page records radiation readings starting at 9:49 p.m. in the evening (21:49). Obviously, j
O                  PDR
the document contains no readings from the early part of March 28, 1979, which is the time period when the hydrogen explosion and the pressure spike occurred.
f 8409190392 840917 PDR ADOCK 05000289 O
PDR i


l I Ernest L. Blaka, Jr., Esquiro Page -Two September 17, 1984
l I Ernest L. Blaka, Jr., Esquiro Page -Two September 17, 1984 (3) A set of logs produced in response to Interrogatory 36 begins at 8:30 a.m. on March 29, 1979. Again no logs were produced for March 28, 1979, and the majority of the documents included in the package of logs is from March 30.
          .  (3) A set of logs produced in response to Interrogatory 36 begins at 8:30 a.m. on March 29, 1979. Again no logs were produced for March 28, 1979, and the majority of the documents included in the package of logs is from March 30.
(4) - A document produced in response to TMIA Document Request No.1 (No. D-1(4)) appears to be a telephone log of comments and readings of various indicators for March 28.
(4) - A document produced in response to TMIA Document Request No.1 (No. D-1(4)) appears to be a telephone log of comments and readings of                       ,
The log stops at 1:40 p.m. on March 28, precisely 10 minutes prior to the pressure spike and hydrogen explosion.
various indicators for March 28. The log stops at 1:40 p.m. on March 28, precisely 10 minutes prior to the pressure spike and hydrogen explosion.
It appears that the rest of the page has either been redacted or erased.
It appears that the rest of the page has either been redacted or erased.
I formally request at this time that you provide the remainder of the documents if in fact you find that any portion of the documents listed above is missing. Many of the documents appear to have been provided previously either to the NRC or perhaps to B&W in GPU's litigation with B&W. Perhaps comparing the document produced to TMIA with the document as produced to the NRC or B&W would help determine whether in fact the document is complete.
I formally request at this time that you provide the remainder of the documents if in fact you find that any portion of the documents listed above is missing. Many of the documents appear to have been provided previously either to the NRC or perhaps to B&W in GPU's litigation with B&W.
Perhaps comparing the document produced to TMIA with the document as produced to the NRC or B&W would help determine whether in fact the document is complete.
I also request that you provide for TMIA some indication of the author of the documents I have listed above; since on most there is no indication of the person who wrote the document or the circumstances under which he or she wrote it.
I also request that you provide for TMIA some indication of the author of the documents I have listed above; since on most there is no indication of the person who wrote the document or the circumstances under which he or she wrote it.
If you have any problem identifying the documents I have described above, please contact me at your earliest possible opportunity.
If you have any problem identifying the documents I have described above, please contact me at your earliest possible opportunity.
Sincerely yours, o
Sincerely yours, o
Lynn Bernabei Att'r y for Three Mile Island Alert cc: Service List
Lynn Bernabei Att'r y for Three Mile Island Alert cc: Service List a
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f Before the Atomic Safety and Licensing Board
oe UNITED STATES OF' AMERICA NUCLEAR REGULATORY COMMISSION 00LKE!@
                                                        )                                             '84 SEP 19 till :44 In the Matter of                          )
f Before the Atomic Safety and Licensing Board In the Matter of
METROPOLITAN EDISON COMPANY               )   Docket No. 50-289 SP (Restart - Managebin ihbaeh (Three Mile Island Nuclear Station, Unit No. 1)                   )
)
'84 SEP 19 till :44
)
METROPOLITAN EDISON COMPANY
)
Docket No. 50-289 SP (Restart - Managebin ihbaeh (Three Mile Island Nuclear Station, Unit No. 1)
)
I hereby certify that a copy of the foregoing TMIA's Response to Licensee's First Request for Production of Documents to TMIA, TMIA's Response to Licensee's Third Set of Interrogatories have been served this 17th day of September, 1984, by mailing a copy, first class postage prepaid to the following:
I hereby certify that a copy of the foregoing TMIA's Response to Licensee's First Request for Production of Documents to TMIA, TMIA's Response to Licensee's Third Set of Interrogatories have been served this 17th day of September, 1984, by mailing a copy, first class postage prepaid to the following:
SERVICE LIST Administrative Judge                             Thomas Au, Esq.
SERVICE LIST Administrative Judge Thomas Au, Esq.
              -Ivan W. Smith, Chairman                           Office of Chief Counsel Atomic Safety & Licensing Board                   Department of Environmental U.S. Nuclear Regulatory Commission                       Resources Washington, D.C. 20555                             505 Executive House P.O. Box 2357 Administrative Judge                               Harrisburg, PA                         17120 Sheldon J. Wolfe                                 John A. Levin, Esq.
-Ivan W. Smith, Chairman Office of Chief Counsel Atomic Safety & Licensing Board Department of Environmental U.S. Nuclear Regulatory Commission Resources Washington, D.C.
Atomic Safety & Licensing Board U.S. Nuclear Regulatory Commission               Assistant Counsel Washington, D.C. 20555                           Pennsylvania Public Utility Commission Administrative Judge                             P.O. Box 3265 Gustave A. Linenberger, Jr.                       Harrisburg, PA                         17120 Atomic Safety & Licensing Board                   Ernest L. Blake, Jr.
20555 505 Executive House P.O. Box 2357 Administrative Judge Harrisburg, PA 17120 Sheldon J. Wolfe Atomic Safety & Licensing Board John A. Levin, Esq.
U.S. Nuclear Regulatory Commission Washington, D.C. 20555                             Shaw, Pittman, Potts & Trowbridge 1800 M Street, N.W.
U.S. Nuclear Regulatory Commission Assistant Counsel Washington, D.C.
Docketing and Service Section (3)                 Washington, D.C. 20036 Office of the Secretary U.S. Nuclear Regulacory Commission                 Mr. Henry D. Hukill
20555 Pennsylvania Public Utility Commission Administrative Judge P.O. Box 3265 Gustave A. Linenberger, Jr.
              ' Washington, D.C. 20555                             Vice President GPU Nuclear Corporation Atomic Safety & Licensing Board                   P.O. Box 480 Panel                                          Middletown, PA 17057 U.S. Nuclear Regulatory Commission Washington, D.C. 20555                             Mr. and Mrs. Norman Aamodt R.D. 5
Harrisburg, PA 17120 Atomic Safety & Licensing Board U.S. Nuclear Regulatory Commission Ernest L. Blake, Jr.
                . Atomic Safety & Licensing Appeal                 Coatesville, PA                       19320 L
Washington, D.C.
Board Panel                                     Ms. Louise Bradford U.S. Nuclear Regulatory Commission Washington, D.C. 20555                             TMI ALERT 1011 Green Street f
20555 Shaw, Pittman, Potts & Trowbridge 1800 M Street, N.W.
Jack R. Goldberg, Esq.                             Harrisburg, PA 17102 Office of the Executive Legal                       Joanne Doroshow, Esq.
Docketing and Service Section (3)
Director U.S. Nuclear Regulatory Commission                 The Christic Institute Washington,           D.C. 20555                     1324 North Capitol Street Washington, D.C.                         20002 l     _.  -        -      --_-- -.---_                        ._.- _. - .. - - - . - - . - . - -
Washington, D.C.
20036 Office of the Secretary U.S. Nuclear Regulacory Commission Mr. Henry D. Hukill
' Washington, D.C.
20555 Vice President GPU Nuclear Corporation Atomic Safety & Licensing Board P.O. Box 480 Middletown, PA 17057 Panel U.S. Nuclear Regulatory Commission Washington, D.C.
20555 Mr. and Mrs. Norman Aamodt R.D. 5
. Atomic Safety & Licensing Appeal Coatesville, PA 19320 L
Board Panel U.S. Nuclear Regulatory Commission Ms. Louise Bradford Washington, D.C.
20555 TMI ALERT 1011 Green Street f
Jack R. Goldberg, Esq.
Harrisburg, PA 17102 Office of the Executive Legal Joanne Doroshow, Esq.
Director U.S. Nuclear Regulatory Commission The Christic Institute Washington, D.C.
20555 1324 North Capitol Street Washington, D.C.
20002 l


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Michael F. McBride, Esq.                     Ellyn R. Weiss, Esq.
Michael F. McBride, Esq.
LeBoeuf,' Lamb, Leiby & MacRae               William S. Jordan, III, Esq.
Ellyn R. Weiss, Esq.
1333 New Hampshire Avenue, N.W.             Harmon, Weiss & Jordan 2001 S Street, Northwest Suite 1100 Washington, D.C.       20036               Suite 430 Washington, D.C. 20009 Michael W. Maupin, Esq.
LeBoeuf,' Lamb, Leiby & MacRae William S. Jordan, III, Esq.
Hunton & Williams 707 East Main Street                         THI-PIRC Legal Fu:td Post Office Box 1535                         1037 Maclay Richmond, VA   23212                         Harriaburg, Penn. 17103 4MBernabei                      '
1333 New Hampshire Avenue, N.W.
Lyfwl
Harmon, Weiss & Jordan Suite 1100 2001 S Street, Northwest Washington, D.C.
                                                  /
20036 Suite 430 Washington, D.C.
20009 Michael W. Maupin, Esq.
Hunton & Williams 707 East Main Street THI-PIRC Legal Fu:td Post Office Box 1535 1037 Maclay Richmond, VA 23212 Harriaburg, Penn.
17103 4M Lyfwl Bernabei
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Latest revision as of 07:24, 13 December 2024

Requests Listed Documents & Portions of Documents Produced by Util in Response to TMI Alert First Request for Production & First Set of Interrogatories.Svc List Encl. Related Correspondence
ML20097G357
Person / Time
Site: Crane 
Issue date: 09/17/1984
From: Bernabei L
GOVERNMENT ACCOUNTABILITY PROJECT, THREE MILE ISLAND ALERT
To: Blake E
METROPOLITAN EDISON CO., SHAW, PITTMAN, POTTS & TROWBRIDGE
Shared Package
ML20097G319 List:
References
SP, NUDOCS 8409190392
Download: ML20097G357 (2)


Text

_..

w d'

pino ccrmIED5%_

GOVERNMENT ACCOUNTABILITY PROJECT -

mg -

W 1555 Connecticut Avenue, N.W., Suite 202

,g go go MN2) 232-8550 Washington, D.C. 20036 HAND-DELIVERED m 1 o

September 17R1984gf Ernest L. Blake, Jr., Esquire Shaw, Pittman, Potts & Trowbridge 1800 M Street N.W.

Washington, D.C.

20036

Dear Ernie:

This Saturday I completed my review of the documents GPU has produced up to this point in response to TMIA's First Request for Production and First Set of Interrogatories concerning the issue of the Dieckamp mailgram.

In my review of these documents, I discovered some " gaps" or portions of the documents which appear to be missing.

I am listing in this letter these gaps or portions of the documents which appear to be missing.

In addition, I requested a list of certain documents identified by GPU employees to be relevant to the Dieckamp mailgram issue.

In the list pro-vided to you were engineers' logs from the Observation Center.

I understand you determined these logs were not relevant to TMIA's discovery request.

These were, however, deemed relevant by V.P. Orlandi.

It appears to me that engineer logs maintained at the Observation Center would certainly be relevant, insofar as they recorded information reaching the Observation Center on the first three days of the accident, March 28 through March 30, 1979.

As you know, at least one of the individuals who says she was aware of the hydrogen explosion on March 28 stated that she obtained that information through the Observation Center.

Therefore, I believe these logs are relevant to the Dieckamp mailgram issue.

Further, I do not understand why GPU has chosen to withhold these logs when other logs have been released in response to TMIA's discovery requests.

The gaps which I have detected in other documents disclosed to TMIA are the following:

(1) Mr. Dieckamp's notes were produced. Although he appears to be a proli fic note-taker, his notes for March 28 end in the early morning hours and no notes for March 29 were produced.

(2) A document provided in response to TMIA Interrogatory No. 43 purports to be " Logs from Unit I Control Room" for the period of March 28 through March 30, 1979.

In fact, the document only contains one page which records information from a day other than March 30.

That page records radiation readings starting at 9:49 p.m. in the evening (21:49). Obviously, j

the document contains no readings from the early part of March 28, 1979, which is the time period when the hydrogen explosion and the pressure spike occurred.

f 8409190392 840917 PDR ADOCK 05000289 O

PDR i

l I Ernest L. Blaka, Jr., Esquiro Page -Two September 17, 1984 (3) A set of logs produced in response to Interrogatory 36 begins at 8:30 a.m. on March 29, 1979. Again no logs were produced for March 28, 1979, and the majority of the documents included in the package of logs is from March 30.

(4) - A document produced in response to TMIA Document Request No.1 (No. D-1(4)) appears to be a telephone log of comments and readings of various indicators for March 28.

The log stops at 1:40 p.m. on March 28, precisely 10 minutes prior to the pressure spike and hydrogen explosion.

It appears that the rest of the page has either been redacted or erased.

I formally request at this time that you provide the remainder of the documents if in fact you find that any portion of the documents listed above is missing. Many of the documents appear to have been provided previously either to the NRC or perhaps to B&W in GPU's litigation with B&W.

Perhaps comparing the document produced to TMIA with the document as produced to the NRC or B&W would help determine whether in fact the document is complete.

I also request that you provide for TMIA some indication of the author of the documents I have listed above; since on most there is no indication of the person who wrote the document or the circumstances under which he or she wrote it.

If you have any problem identifying the documents I have described above, please contact me at your earliest possible opportunity.

Sincerely yours, o

Lynn Bernabei Att'r y for Three Mile Island Alert cc: Service List a

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oe UNITED STATES OF' AMERICA NUCLEAR REGULATORY COMMISSION 00LKE!@

f Before the Atomic Safety and Licensing Board In the Matter of

)

'84 SEP 19 till :44

)

METROPOLITAN EDISON COMPANY

)

Docket No. 50-289 SP (Restart - Managebin ihbaeh (Three Mile Island Nuclear Station, Unit No. 1)

)

I hereby certify that a copy of the foregoing TMIA's Response to Licensee's First Request for Production of Documents to TMIA, TMIA's Response to Licensee's Third Set of Interrogatories have been served this 17th day of September, 1984, by mailing a copy, first class postage prepaid to the following:

SERVICE LIST Administrative Judge Thomas Au, Esq.

-Ivan W. Smith, Chairman Office of Chief Counsel Atomic Safety & Licensing Board Department of Environmental U.S. Nuclear Regulatory Commission Resources Washington, D.C.

20555 505 Executive House P.O. Box 2357 Administrative Judge Harrisburg, PA 17120 Sheldon J. Wolfe Atomic Safety & Licensing Board John A. Levin, Esq.

U.S. Nuclear Regulatory Commission Assistant Counsel Washington, D.C.

20555 Pennsylvania Public Utility Commission Administrative Judge P.O. Box 3265 Gustave A. Linenberger, Jr.

Harrisburg, PA 17120 Atomic Safety & Licensing Board U.S. Nuclear Regulatory Commission Ernest L. Blake, Jr.

Washington, D.C.

20555 Shaw, Pittman, Potts & Trowbridge 1800 M Street, N.W.

Docketing and Service Section (3)

Washington, D.C.

20036 Office of the Secretary U.S. Nuclear Regulacory Commission Mr. Henry D. Hukill

' Washington, D.C.

20555 Vice President GPU Nuclear Corporation Atomic Safety & Licensing Board P.O. Box 480 Middletown, PA 17057 Panel U.S. Nuclear Regulatory Commission Washington, D.C.

20555 Mr. and Mrs. Norman Aamodt R.D. 5

. Atomic Safety & Licensing Appeal Coatesville, PA 19320 L

Board Panel U.S. Nuclear Regulatory Commission Ms. Louise Bradford Washington, D.C.

20555 TMI ALERT 1011 Green Street f

Jack R. Goldberg, Esq.

Harrisburg, PA 17102 Office of the Executive Legal Joanne Doroshow, Esq.

Director U.S. Nuclear Regulatory Commission The Christic Institute Washington, D.C.

20555 1324 North Capitol Street Washington, D.C.

20002 l

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Michael F. McBride, Esq.

Ellyn R. Weiss, Esq.

LeBoeuf,' Lamb, Leiby & MacRae William S. Jordan, III, Esq.

1333 New Hampshire Avenue, N.W.

Harmon, Weiss & Jordan Suite 1100 2001 S Street, Northwest Washington, D.C.

20036 Suite 430 Washington, D.C.

20009 Michael W. Maupin, Esq.

Hunton & Williams 707 East Main Street THI-PIRC Legal Fu:td Post Office Box 1535 1037 Maclay Richmond, VA 23212 Harriaburg, Penn.

17103 4M Lyfwl Bernabei

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