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UNITED STATES OF AMERICA | UNITED STATES OF AMERICA 4 7 NUCLEAR REGULATORY COMMISSION {-I s .,- g ,_ | ||
4 7 | |||
NUCLEAR REGULATORY COMMISSION {-I s .,- g ,_ | |||
BEFORE THE ATOMIC SAFETY AND LICENSING B ARD . -Yd | BEFORE THE ATOMIC SAFETY AND LICENSING B ARD . -Yd | ||
;s S( h | ;s S( h | ||
Line 49: | Line 42: | ||
Central Power and Light Company (" CPL"), Public Service Company of Oklahoma ("PSO"), Southwestern Electric Power Company ("SWEP") and West Texas Utilities Company ("WTU"), | Central Power and Light Company (" CPL"), Public Service Company of Oklahoma ("PSO"), Southwestern Electric Power Company ("SWEP") and West Texas Utilities Company ("WTU"), | ||
through their attorneys and pursuant to Rule 2.741 of this Commission's Rules of Practice, hereby request that the documents set forth below be made available for inspection and copying at 9:30 a.m. on February 28 , 1980, at the offices of Isham, Lincoln & Beale, One First National Plaza, Chicago, Illinois, or at such other time and place as the parties may agree upon in writing. | through their attorneys and pursuant to Rule 2.741 of this Commission's Rules of Practice, hereby request that the documents set forth below be made available for inspection and copying at 9:30 a.m. on February 28 , 1980, at the offices of Isham, Lincoln & Beale, One First National Plaza, Chicago, Illinois, or at such other time and place as the parties may agree upon in writing. | ||
8002130 1 | 8002130 1 | ||
,A. pefinitions | ,A. pefinitions | ||
: 1. " Documents" means, without limiting the gen-erality of its meaning, all original (or copies where originals are unavailable) and non-identical copies (whether different from originals by reason of notation made on such copies or otherwise) of all written, recorded or graphic matter, however produceu er reproduced, whether or not now in existence, including but not limited to correspondence, telegrams, notes or scund recordings of any type of conversation, meeting or conference, minutes of directors' or committee meetings, memoranda, inter-office communications, studies, analyses, notes, books, records, reports, summaries and results of investigations and tests, reviews, contracts, agreements, pamphlets, diaries, calendar or diary entries, maps, graphs, charts, statistical records, computer programs, computer printouts or computer data in some other form, or papers similar to any of the | : 1. " Documents" means, without limiting the gen-erality of its meaning, all original (or copies where originals are unavailable) and non-identical copies (whether different from originals by reason of notation made on such copies or otherwise) of all written, recorded or graphic matter, however produceu er reproduced, whether or not now in existence, including but not limited to correspondence, telegrams, notes or scund recordings of any type of conversation, meeting or conference, minutes of directors' or committee meetings, memoranda, inter-office communications, studies, analyses, notes, books, records, reports, summaries and results of investigations and tests, reviews, contracts, agreements, pamphlets, diaries, calendar or diary entries, maps, graphs, charts, statistical records, computer programs, computer printouts or computer data in some other form, or papers similar to any of the foregoing, however denominated, including preliminary versions, drafts or revisions of any of the foregoing and any supporting, underlying or preparatory meterial. | ||
foregoing, however denominated, including preliminary versions, drafts or revisions of any of the foregoing and any supporting, underlying or preparatory meterial. | |||
: 2. " Relating to" or " relate" means consisting of, referring to, reflecting, or being in any way legally, logically or factually connected with. Requests " relating to" a subject or item should be understood to include possible or contemplated actions as to such subject or item. For example, a request for documents relating to a purchase or sale would include documents relating to proposed purchases and sales that have been considered but rejected. | : 2. " Relating to" or " relate" means consisting of, referring to, reflecting, or being in any way legally, logically or factually connected with. Requests " relating to" a subject or item should be understood to include possible or contemplated actions as to such subject or item. For example, a request for documents relating to a purchase or sale would include documents relating to proposed purchases and sales that have been considered but rejected. | ||
: 3. " Person" shall mean any natural person, com-pany, association, firm, corporation, cooperative, rural electric cooperative, municipality, joint stock association, or any political subdivision, agency or instrumentality of the federal, state, or municipal governments, or a lawful association of any of the foregoing, or any entity that produces, generates, transmits, distributes, purchases, sells or furnishet electricity. | : 3. " Person" shall mean any natural person, com-pany, association, firm, corporation, cooperative, rural electric cooperative, municipality, joint stock association, or any political subdivision, agency or instrumentality of the federal, state, or municipal governments, or a lawful association of any of the foregoing, or any entity that produces, generates, transmits, distributes, purchases, sells or furnishet electricity. | ||
Line 63: | Line 52: | ||
Light Company, Texas Electric Service Company, Texas Power & | Light Company, Texas Electric Service Company, Texas Power & | ||
Light Company, Texas Utilities Service Company and Texas Utilities Fuel Company. | Light Company, Texas Utilities Service Company and Texas Utilities Fuel Company. | ||
: 6. " Houston Lighting & Power Company" or "HL&P" shall be understood to include its parent, direct and indirect | : 6. " Houston Lighting & Power Company" or "HL&P" shall be understood to include its parent, direct and indirect subsidiary, affiliated, or predecessor companies and any entities providing electric service at wholesale or retail, the properties or asse ts of which have beer. acquired by HL&P. | ||
subsidiary, affiliated, or predecessor companies and any | |||
entities providing electric service at wholesale or retail, the properties or asse ts of which have beer. acquired by HL&P. | |||
B. Instructions | B. Instructions | ||
: 1. Pursuant to the directive of the Loard (Transcript at 105), issued at the prehearing conference on June 21, 1978, these interrogatories and requests for pro-duction of documents are continuing in nature and, accordingly, require supplemental answers or production should TU generate or obtain further pertinent information or documents after the time for compliance with these discovery requests. | : 1. Pursuant to the directive of the Loard (Transcript at 105), issued at the prehearing conference on June 21, 1978, these interrogatories and requests for pro-duction of documents are continuing in nature and, accordingly, require supplemental answers or production should TU generate or obtain further pertinent information or documents after the time for compliance with these discovery requests. | ||
: 2. Unless otherwise indicated, the documents hereby requested to be furnished shall include all documents frcm the files and records of TU or otherwise within the possession, custody or control of TU or any of their repre-sentatives dated January 1, 1965, to the present. | : 2. Unless otherwise indicated, the documents hereby requested to be furnished shall include all documents frcm the files and records of TU or otherwise within the possession, custody or control of TU or any of their repre-sentatives dated January 1, 1965, to the present. | ||
: 3. If any document otherwise responsive to any request was, on or after December 19, 1970 (date of enactment of P. L. 91-560), but is no longer, in the possession of TU, or subject to the control of TU, or in existence, state whether (1) it is missing or lost, (2) has been destroyed, (3) has been transferred voluntarily to othe .s , or (4) has been otherwise disposed of. In each instance, explain the circumstances surrounding such disposition and identify the person (s) directing or authorizing its destruction or transfer, and the date (s) of such direction or authorization. Identify each such document by listing its author and addressee, type | : 3. If any document otherwise responsive to any request was, on or after December 19, 1970 (date of enactment of P. L. 91-560), but is no longer, in the possession of TU, or subject to the control of TU, or in existence, state whether (1) it is missing or lost, (2) has been destroyed, (3) has been transferred voluntarily to othe .s , or (4) has been otherwise disposed of. In each instance, explain the circumstances surrounding such disposition and identify the person (s) directing or authorizing its destruction or transfer, and the date (s) of such direction or authorization. Identify each such document by listing its author and addressee, type (e.g., letter, memorandum, telegram, chart, photograph, etc.), | ||
(e.g., letter, memorandum, telegram, chart, photograph, etc.), | |||
date, subject matter, whether the document (or copies) are still in existence, and if so, their present location (s) and custodian (s). | date, subject matter, whether the document (or copies) are still in existence, and if so, their present location (s) and custodian (s). | ||
: 4. Any documents withheld by reason of any assertion of privilege shall be identified individually by listing the person (s ) preparing, sending or receiving the same, the subject and date thereof, and a brief statement on the basis for assert-ing privilege as to each document. All documents for which privilege is claimed shall be submitted to the Licensing Board under seal no later than the last day for this document pro-duction. | : 4. Any documents withheld by reason of any assertion of privilege shall be identified individually by listing the person (s ) preparing, sending or receiving the same, the subject and date thereof, and a brief statement on the basis for assert-ing privilege as to each document. All documents for which privilege is claimed shall be submitted to the Licensing Board under seal no later than the last day for this document pro-duction. | ||
Line 80: | Line 63: | ||
: 2. All documents relating or referring to any trans-acticn entered into by TU or proposed by or to or otherwise given consideration by TU, whether or not consummated and whether or not still under consideration, whereby the trans-mission of electric power or energy would be performed for TU by some other person or entity. | : 2. All documents relating or referring to any trans-acticn entered into by TU or proposed by or to or otherwise given consideration by TU, whether or not consummated and whether or not still under consideration, whereby the trans-mission of electric power or energy would be performed for TU by some other person or entity. | ||
Respectfully submitted, ISHAM, INCOLN & BEALE By - | Respectfully submitted, ISHAM, INCOLN & BEALE By - | ||
Att'orneys for Central 'and South West Corporation, Central Power and Light Company, Isham, Lincoln & Beale Public Service Company of One First National Plaza Oklahoma, Southwest Electric Chicago, Illinois 60603 Power Company and West Texas (312) 558-750r Utilities Company | Att'orneys for Central 'and South West Corporation, Central Power and Light Company, Isham, Lincoln & Beale Public Service Company of One First National Plaza Oklahoma, Southwest Electric Chicago, Illinois 60603 Power Company and West Texas (312) 558-750r Utilities Company F | ||
UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of ) | |||
) | ) | ||
HOUSTON LIGHTING & POWER ) NRC DOCKET NOS. 50-498A COMPANY, THE CITY OF SAN ) 50-499A ANTONIO, THE CITY OF AUSTIN, ) | HOUSTON LIGHTING & POWER ) NRC DOCKET NOS. 50-498A COMPANY, THE CITY OF SAN ) 50-499A ANTONIO, THE CITY OF AUSTIN, ) | ||
Line 95: | Line 76: | ||
CERTIFICATE OF SERVICE I, Micnael I. Miller, hereby certify that copies of the foregoing: SECOND REQUEST OF CENTRAL AND SOUTH WEST CORPORATION , ET AL. FOR PRODUCTION OF DOCUMENTS ADDRESSED TO TEXAS UTILITIES GENERATING COMPANY were served upon the following persons by deposit in the United States mail, first class postage prepaid, on this 24th day of January. | CERTIFICATE OF SERVICE I, Micnael I. Miller, hereby certify that copies of the foregoing: SECOND REQUEST OF CENTRAL AND SOUTH WEST CORPORATION , ET AL. FOR PRODUCTION OF DOCUMENTS ADDRESSED TO TEXAS UTILITIES GENERATING COMPANY were served upon the following persons by deposit in the United States mail, first class postage prepaid, on this 24th day of January. | ||
Marshall E. Miller, Esq. Durwood Chalker | Marshall E. Miller, Esq. Durwood Chalker | ||
.U.S. Nuclear Regulatory Chairman and Chief Executive Commission Officer Washington, D.C. 20555 Central Power and Light Company P.O. Box 2121 Michael L. Glaser, Esq. Corpus Christi, Texas 78403 1150 17th Street, N.W. | .U.S. Nuclear Regulatory Chairman and Chief Executive Commission Officer Washington, D.C. 20555 Central Power and Light Company P.O. Box 2121 Michael L. Glaser, Esq. Corpus Christi, Texas 78403 1150 17th Street, N.W. | ||
Line 114: | Line 93: | ||
Fredric D. Chanania Sneed, Vine, Wilkerson, Ann P. Hodgdon Selman & Perry OELD U.S. Nuclear Regulatory P.O. Box 1409 Commission Austin, Texas 78767 Washington, D.C. 20555 | Fredric D. Chanania Sneed, Vine, Wilkerson, Ann P. Hodgdon Selman & Perry OELD U.S. Nuclear Regulatory P.O. Box 1409 Commission Austin, Texas 78767 Washington, D.C. 20555 | ||
Jerry L. Harris, Esq. Kevin B. Pratt Richard C. Balough, Esq. Texas Attorney General's Office City of Austin State of Texas P.O. Box 1088 P.O. Box 12548 Austin, Texas 78767 Austin, Texas 78711 Don H. Davidson W. S. Robson City Manager General Manager City of Austin South Texas Electric P.O. Box 1088 Cooperating, Inc. | Jerry L. Harris, Esq. Kevin B. Pratt Richard C. Balough, Esq. Texas Attorney General's Office City of Austin State of Texas P.O. Box 1088 P.O. Box 12548 Austin, Texas 78767 Austin, Texas 78711 Don H. Davidson W. S. Robson City Manager General Manager City of Austin South Texas Electric P.O. Box 1088 Cooperating, Inc. | ||
Austin, Texas 78767 Route 6, Building 102 Victoria Regional Airport Robert E. Cohn, Esq. Victoria, Texas 77901 Butler, Binion, Rice, Cook & Knapp Joseph B. Knotts, Jr. | Austin, Texas 78767 Route 6, Building 102 Victoria Regional Airport Robert E. Cohn, Esq. Victoria, Texas 77901 Butler, Binion, Rice, Cook & Knapp Joseph B. Knotts, Jr. | ||
Line 130: | Line 107: | ||
Washington, D.C. 20530 | Washington, D.C. 20530 | ||
r, Robert C. McDiarmid, Esq. Wheatley & Miller Robert Jablon, Esq. 1112 Watergate Office Building Marc Poirier, Esq. 2600 Virginia Avenue, N.W. | r, Robert C. McDiarmid, Esq. Wheatley & Miller Robert Jablon, Esq. 1112 Watergate Office Building Marc Poirier, Esq. 2600 Virginia Avenue, N.W. | ||
2600 Virginia Avenue, N.W. Washington, D.C. 20037 Washington, D.C. 20037 Linda L. Aaker, Esq. | 2600 Virginia Avenue, N.W. Washington, D.C. 20037 Washington, D.C. 20037 Linda L. Aaker, Esq. | ||
Line 145: | Line 119: | ||
711 West Third Street Little Rock, Arkansas 72201 | 711 West Third Street Little Rock, Arkansas 72201 | ||
Paul W. Eaton, Jr., Esq. | Paul W. Eaton, Jr., Esq. | ||
Hinkle, Cox, Eaton, Coffield & Hensley 600 Henkle Building P.O. Box 10 Roswell, New Mexico 88201 Dick Terrell Brown 800 Milam Building San Antonio, Texas 78205 David A. Dopsovic Antitrust Division Department of Justice P.O. Box 14141 Washington, D.C. 20044 Perry G. Brittain President Texas Utilities Generating Company 2001 Bryan Tower Dallas, Texas 75201 Joseph J. Saunders, Esq. | Hinkle, Cox, Eaton, Coffield & Hensley 600 Henkle Building P.O. Box 10 Roswell, New Mexico 88201 Dick Terrell Brown 800 Milam Building San Antonio, Texas 78205 David A. Dopsovic Antitrust Division Department of Justice P.O. Box 14141 Washington, D.C. 20044 Perry G. Brittain President Texas Utilities Generating Company 2001 Bryan Tower Dallas, Texas 75201 Joseph J. Saunders, Esq. | ||
Line 155: | Line 126: | ||
P. O. Box 841 Abilene, Texas 79604 Michael C. Farrar, Esq. | P. O. Box 841 Abilene, Texas 79604 Michael C. Farrar, Esq. | ||
Atomic Safety and Licensing Appeal Board U. S. Nuclear Regulatory Commission Washington, D. C. 20555 , | Atomic Safety and Licensing Appeal Board U. S. Nuclear Regulatory Commission Washington, D. C. 20555 , | ||
f ,,- | f ,,- | ||
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C-f' Michael I. Miller}} | C-f' Michael I. Miller}} |
Latest revision as of 06:22, 22 February 2020
ML19260E060 | |
Person / Time | |
---|---|
Site: | South Texas, Comanche Peak |
Issue date: | 01/24/1980 |
From: | Mark Miller CENTRAL & SOUTH WEST CORP., ISHAM, LINCOLN & BEALE |
To: | Atomic Safety and Licensing Board Panel |
References | |
NUDOCS 8002130236 | |
Download: ML19260E060 (10) | |
Text
.' .
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UNITED STATES OF AMERICA 4 7 NUCLEAR REGULATORY COMMISSION {-I s .,- g ,_
BEFORE THE ATOMIC SAFETY AND LICENSING B ARD . -Yd
- s S( h
'N s.~~ \
In the Matter of ) '
)
HOUSTON LIGHTING & POWER ) NRC Docket Nos. 50-498A COMPANY, et al. ) 50-499A
)
(South Texas Project, Unit )
Nos. 1 and 2) )
)
)
In the Matter of )
)
TEXAS UTILITIES GENERATING ) Docket Nos. 50-445A COMPANY, et al. ) 50-446A
)
(Comanche Peak Steam )
Electric Station, Units 1 )
and 2) )
SECOND REQUEST OF CENTRAL AND SOUTH WEST CORPORATION, ET AL. FOR PRODUCTION OF DOCUMENTS ADDRESSED TO TEXAS UTILITIES GENERATING COMPANY Central and South West Corporation ("CSW"),
Central Power and Light Company (" CPL"), Public Service Company of Oklahoma ("PSO"), Southwestern Electric Power Company ("SWEP") and West Texas Utilities Company ("WTU"),
through their attorneys and pursuant to Rule 2.741 of this Commission's Rules of Practice, hereby request that the documents set forth below be made available for inspection and copying at 9:30 a.m. on February 28 , 1980, at the offices of Isham, Lincoln & Beale, One First National Plaza, Chicago, Illinois, or at such other time and place as the parties may agree upon in writing.
8002130 1
,A. pefinitions
- 1. " Documents" means, without limiting the gen-erality of its meaning, all original (or copies where originals are unavailable) and non-identical copies (whether different from originals by reason of notation made on such copies or otherwise) of all written, recorded or graphic matter, however produceu er reproduced, whether or not now in existence, including but not limited to correspondence, telegrams, notes or scund recordings of any type of conversation, meeting or conference, minutes of directors' or committee meetings, memoranda, inter-office communications, studies, analyses, notes, books, records, reports, summaries and results of investigations and tests, reviews, contracts, agreements, pamphlets, diaries, calendar or diary entries, maps, graphs, charts, statistical records, computer programs, computer printouts or computer data in some other form, or papers similar to any of the foregoing, however denominated, including preliminary versions, drafts or revisions of any of the foregoing and any supporting, underlying or preparatory meterial.
- 2. " Relating to" or " relate" means consisting of, referring to, reflecting, or being in any way legally, logically or factually connected with. Requests " relating to" a subject or item should be understood to include possible or contemplated actions as to such subject or item. For example, a request for documents relating to a purchase or sale would include documents relating to proposed purchases and sales that have been considered but rejected.
- 3. " Person" shall mean any natural person, com-pany, association, firm, corporation, cooperative, rural electric cooperative, municipality, joint stock association, or any political subdivision, agency or instrumentality of the federal, state, or municipal governments, or a lawful association of any of the foregoing, or any entity that produces, generates, transmits, distributes, purchases, sells or furnishet electricity.
- 4. " Representative" shall be understood to in-clude, without limiting the generality of its meaning, any director, officer, employee, contractor, attorney, accountant or consultant, of any person or entity, who at a particular formal or informal meeting, or in a particular document or communication, appear to participate in the meeting, or in the making of or the receipt of the document or communication, on behalf of or as agent for said person. Whether or not a representative has actual authority as an agent of the person is irrelevant to his or her status as a representative.
- 5. " Texas Utilities' or "TU" shall mean Texas Utilities Generating Company, its parent, affiliated, direct and indirect subsidiary and all predecessor companies, including, but not limited to, Texas Utilities Company, Dallas Power &
Light Company, Texas Electric Service Company, Texas Power &
Light Company, Texas Utilities Service Company and Texas Utilities Fuel Company.
- 6. " Houston Lighting & Power Company" or "HL&P" shall be understood to include its parent, direct and indirect subsidiary, affiliated, or predecessor companies and any entities providing electric service at wholesale or retail, the properties or asse ts of which have beer. acquired by HL&P.
B. Instructions
- 1. Pursuant to the directive of the Loard (Transcript at 105), issued at the prehearing conference on June 21, 1978, these interrogatories and requests for pro-duction of documents are continuing in nature and, accordingly, require supplemental answers or production should TU generate or obtain further pertinent information or documents after the time for compliance with these discovery requests.
- 2. Unless otherwise indicated, the documents hereby requested to be furnished shall include all documents frcm the files and records of TU or otherwise within the possession, custody or control of TU or any of their repre-sentatives dated January 1, 1965, to the present.
- 3. If any document otherwise responsive to any request was, on or after December 19, 1970 (date of enactment of P. L.91-560), but is no longer, in the possession of TU, or subject to the control of TU, or in existence, state whether (1) it is missing or lost, (2) has been destroyed, (3) has been transferred voluntarily to othe .s , or (4) has been otherwise disposed of. In each instance, explain the circumstances surrounding such disposition and identify the person (s) directing or authorizing its destruction or transfer, and the date (s) of such direction or authorization. Identify each such document by listing its author and addressee, type (e.g., letter, memorandum, telegram, chart, photograph, etc.),
date, subject matter, whether the document (or copies) are still in existence, and if so, their present location (s) and custodian (s).
- 4. Any documents withheld by reason of any assertion of privilege shall be identified individually by listing the person (s ) preparing, sending or receiving the same, the subject and date thereof, and a brief statement on the basis for assert-ing privilege as to each document. All documents for which privilege is claimed shall be submitted to the Licensing Board under seal no later than the last day for this document pro-duction.
C. Documents to be Produced
- 1. All documents relating or referring to any trans-action entered into by TU or proposed by or to or otherwise given consideration by TU, whether or not consummated and whether or not still under consideration, whereby the trans-mission of electric power or energy would be performed by TU for scme other person or entity.
- 2. All documents relating or referring to any trans-acticn entered into by TU or proposed by or to or otherwise given consideration by TU, whether or not consummated and whether or not still under consideration, whereby the trans-mission of electric power or energy would be performed for TU by some other person or entity.
Respectfully submitted, ISHAM, INCOLN & BEALE By -
Att'orneys for Central 'and South West Corporation, Central Power and Light Company, Isham, Lincoln & Beale Public Service Company of One First National Plaza Oklahoma, Southwest Electric Chicago, Illinois 60603 Power Company and West Texas (312) 558-750r Utilities Company F
UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of )
)
HOUSTON LIGHTING & POWER ) NRC DOCKET NOS. 50-498A COMPANY, THE CITY OF SAN ) 50-499A ANTONIO, THE CITY OF AUSTIN, )
and CENTRAL POWER AND LIGHT )
COMPANY )
(South Texas Project, Unit )
Nos. 1 and 2) )
)
TEXAS UTILITIES GENERATING ) NRC DOCKET NOS. 50-445A COMPANY, ET AL. ) 50-446A (Comanche Peak Steam Electric )
Station, Unit Nos. 1 and 2 )
CERTIFICATE OF SERVICE I, Micnael I. Miller, hereby certify that copies of the foregoing: SECOND REQUEST OF CENTRAL AND SOUTH WEST CORPORATION , ET AL. FOR PRODUCTION OF DOCUMENTS ADDRESSED TO TEXAS UTILITIES GENERATING COMPANY were served upon the following persons by deposit in the United States mail, first class postage prepaid, on this 24th day of January.
Marshall E. Miller, Esq. Durwood Chalker
.U.S. Nuclear Regulatory Chairman and Chief Executive Commission Officer Washington, D.C. 20555 Central Power and Light Company P.O. Box 2121 Michael L. Glaser, Esq. Corpus Christi, Texas 78403 1150 17th Street, N.W.
Washington, D.C. 20036 Jerome D. Saltzman Chief, Antitrust and Sheldon J. Wolfe, Esq. Indemnity Group U.S. Nuclear Regulatory U.S. Nuclear Regulatory Commission Commission Washington, D.C. 20555 Nuclear Reactor Regulation Washington, D.C. 20555 Atomic Safety and Licensing Appeal Board Panel J. Irion Worsham, Esq.
U.S. Nuclear Regulatory Merlyn D. Sampels, Esq.
Commission Spencer C. Relyea, Esq.
Washington, D.C. 20555 Frederic K. Slicker, Esq.
Worsham, Forsythe & Sampels Chase R. Stephens 2001 Bryan Tower, Suite 2500 Docketing and Service Branch Dallas, Texas 75201 U.S. Nuclear Regulatory Commission Jon C. Wood, Esq.
Washington, D.C. 20555 W. Roger Wilson, Esq.
Matthews, Nowlin, Macfarlane Jonathan Day, Esq. & Barrett Butler, Binion, Rice, 1500 Alamo National Building Cook & Knapp San Antonio, Texas 78205 1100 Erperson Building Houston, Texas 77002 Charles G. Thrash, Jr., Esq.
E. W. Barnett, Esq.
R. Gordon Goocn, Esq. Theodore F. Weiss, Esq.
John P. Mathis, Esq. J. Gregory Copeland, Esq.
Baker & Botts J. Michael Baldwin, Esq.
1701 Pennsylvania Ave. N.W. Baker & Botts Washington, D.C. 20006 3000 One Shell Plaza Houston, Texas 77002 Roy P. Lessy, Jr., Esq.
Michael B. Blume, Esq Don R. Butler, Esq.
Fredric D. Chanania Sneed, Vine, Wilkerson, Ann P. Hodgdon Selman & Perry OELD U.S. Nuclear Regulatory P.O. Box 1409 Commission Austin, Texas 78767 Washington, D.C. 20555
Jerry L. Harris, Esq. Kevin B. Pratt Richard C. Balough, Esq. Texas Attorney General's Office City of Austin State of Texas P.O. Box 1088 P.O. Box 12548 Austin, Texas 78767 Austin, Texas 78711 Don H. Davidson W. S. Robson City Manager General Manager City of Austin South Texas Electric P.O. Box 1088 Cooperating, Inc.
Austin, Texas 78767 Route 6, Building 102 Victoria Regional Airport Robert E. Cohn, Esq. Victoria, Texas 77901 Butler, Binion, Rice, Cook & Knapp Joseph B. Knotts, Jr.
818 Connecticut Ave. N.W. Nicholas S. Reynolds Washington, D.C. 20019 C. Dennis Ahearn Debevoise & Liberman Robert Lowenstein 1200 Seventeenth Street, N.W.
J. A. Bouknight, Jr. Washington, D.C. 20036 William J. Franklin Douglas G. Green John W. Davidson, Esq.
Lowenstein, Newman, Reis, Sawtelle, Goode, Davidson & Troilo Axelrad & Toll 1100 San Antonio Savings Building 1025 Connecticut Ave. N.W. San Antonio, Texas 78205 Washington, D.C. 20036 Douglas F. John, Esq.
R. L. Hancock, Director Akin, Gump, Haver & Feld City of Austin Electric Utility 1333 New Hampshire Avenue, N.W.
P.O. Box 1086 Suite 400 Austin, Texas 78767 Washington, D.C. 20036 G. W. Oprea, Jr. Morgan Hunter, Esq.
Executive Vice President Bill D. St. Clair, Esq.
Houston Lighting & Power Company McGinnis, Lockridge & Kilgore P.O. Box 1700 5th Floor Houston, Texas 77001 Texas State Bank Building 900 Congress Avenue Susan B. Cyphert, Esq. Austin, Texas 78701 Melvin G. Berger, Esq.
Ronald Clark, Esq. William H. Burchett, Esq.
Frederick H. Parmenter, Esq. Frederick H. Ritts, Erg.
Nancy A. Luque Northcutt Ely U.S. Department of Justice Watergate 600 Building Antitrust Division Washington, D.C. 20037 411-llth Street, N.W.
Washington, D.C. 20530
r, Robert C. McDiarmid, Esq. Wheatley & Miller Robert Jablon, Esq. 1112 Watergate Office Building Marc Poirier, Esq. 2600 Virginia Avenue, N.W.
2600 Virginia Avenue, N.W. Washington, D.C. 20037 Washington, D.C. 20037 Linda L. Aaker, Esq.
David M. Stahl, Esq. Assistant Attorney General Joseph Gallo, Esq. P.O. Box 12548 Isham, Lincoln & Beale Capital Station 1050 17th Street, N.W. Austin, Texas 78711 Seventh Floor Washington, D.C. 20036 Knoland J. Plucknett Executive Director Joseph Rutberg, Esq. Committee on Power for the Antitrust Counsel Southwest, Inc.
Counsel for NRC Staff 5541 East Skelly Drive U.S. Nuclear Regulatory Tulsa, Oklahoma 74135 Commission Washington, D.C. 20555 Robert E. Bathen R. W. Beck & Associates Joseph J. Saunders, Esq. P.O. Box 6817 Chief, Public Counsel & Orlando, Florida 82853 Legislative Section Antitrust Section W. N. Woolsey, Esq.
U.S. Department of Justice Dyer, Redford, Burnett, P.O. Box 14141 Wray & Woolsey Washington, D.C. 20044 1030 Petroleum Tower Corpus Christi, Texas 78704 G. K. Spruce, General Manager City Public Service Board Robert M. Rader, Esq.
P.O. Box 1771 Connor, Moore & Corben San Antonio, Texas 78203 1747 Pennsylvania Ave. N.W.
Washington, D.C. 20006 Jay M. Galt, Esq.
Looney, Nicholas, Johnson Donald M. Clements, Esq.
& Hayes Gulf States Utilities Company 219 Couch Drive Post Office Box 2951 Oklahoma City, Oklahoma 73101 Beaumont, Texas 77704 John E. Mathews, Jr., Esq. Tom W. Gregg Mathews, Osbo'ne, Ehrlich, P.O. Box Drawer 1032 McNatt, Gob Aman & Cobb San Angelo, Texas 76902 1500 American Heritage Life Building Leland F. Leatherman, Esq.
Jacksonville, Florida 32202 McMath, Leatherman & Woods, P.A.
711 West Third Street Little Rock, Arkansas 72201
Paul W. Eaton, Jr., Esq.
Hinkle, Cox, Eaton, Coffield & Hensley 600 Henkle Building P.O. Box 10 Roswell, New Mexico 88201 Dick Terrell Brown 800 Milam Building San Antonio, Texas 78205 David A. Dopsovic Antitrust Division Department of Justice P.O. Box 14141 Washington, D.C. 20044 Perry G. Brittain President Texas Utilities Generating Company 2001 Bryan Tower Dallas, Texas 75201 Joseph J. Saunders, Esq.
Chief, Public Counsel &
Legislative Section Antitrust Section U.S. Department of Justice P.O. Box 14141 Washington, D.C. 20044 Mr. William C. Price Central Power and Light Co.
P. O. Box 2121 Corpus Christi, Texas 78403 Mr. G. Holman King West Texas Utilities Co.
P. O. Box 841 Abilene, Texas 79604 Michael C. Farrar, Esq.
Atomic Safety and Licensing Appeal Board U. S. Nuclear Regulatory Commission Washington, D. C. 20555 ,
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C-f' Michael I. Miller