Central Power & Light Co'S Objections & Motions for Protective Order Re Certain Interrogatories & Document Requests from Public Util Board of Brownsville,Tx.Affidavit of Wc Price & Certificate of Svc EnclML19263D240 |
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South Texas |
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02/28/1979 |
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Tom Ryan ISHAM, LINCOLN & BEALE |
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NUDOCS 7903260349 |
Download: ML19263D240 (11) |
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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20206H2221999-05-0404 May 1999 Exemption from Requirements of 10CFR50.60 That Would Allow STP Nuclear Operating Co to Apply ASME Code Case N-514 for Determining Plant Cold Overpressurization Mitigation Sys Pressure Setpoint.Commission Grants Exemption ML20195C7541998-11-0505 November 1998 Order Approving Application Re Proposed Corporate Merger of Central & South West Corp & American Electric Power Co,Inc.Commission Approves Application Re Merger Agreement Between Csw & Aep ML20155H5511998-11-0202 November 1998 Exemption from Certain Requirements of 10CFR50.71(e)(4) Re Submission of Revs to UFSAR ML20248K5051998-06-0909 June 1998 Confirmatory Order Modifying License (Effective Immediately).Answer for Request for Hearing Shall Not Stay Immediate Effectiveness of Order NOC-AE-000109, Comment on Proposed Rule 10CFR50 Re Rev to 10CFR50.55a, Industry Codes & Standards.South Texas Project Fully Endorses Comments to Be Provided by NEI1998-03-30030 March 1998 Comment on Proposed Rule 10CFR50 Re Rev to 10CFR50.55a, Industry Codes & Standards.South Texas Project Fully Endorses Comments to Be Provided by NEI ML20137U3531997-04-0808 April 1997 Order Approving Application Re Formation of Operating Company & Transfer of Operating Authority ML20116B8871996-07-19019 July 1996 Transcript of 960719 Predecisional Enforcement Conference Re Apparent Violations of NRC Requirements at Plant TXX-9522, Comment Opposing Proposed GL on Testing of safety-related Logic Circuits.Believes That Complete Technical Review of All Surveillance Procedures Would Be Expensive & Unnecessary Expenditure of Licensee Resources1995-08-26026 August 1995 Comment Opposing Proposed GL on Testing of safety-related Logic Circuits.Believes That Complete Technical Review of All Surveillance Procedures Would Be Expensive & Unnecessary Expenditure of Licensee Resources ML20072P5441994-07-13013 July 1994 Testimony of Rl Stright Re Results of Liberty Consulting Groups Independent Review of Prudence of Mgt of STP ML20092C3911993-11-15015 November 1993 Partially Deleted Response of Rl Balcom to Demand for Info ML20092C4031993-11-15015 November 1993 Partially Deleted Response of Hl&P to Demand for Info ML20056G3351993-08-27027 August 1993 Comment Opposing Proposed Rule 10CFR2 Re Review of 10CFR2.206 Process ML20044D3311993-05-0404 May 1993 Comment Supporting Proposed Generic Communication Re Mod of TS Administrative Control Requirements for Emergency & Security Plans ST-HL-AE-4162, Comment Supporting Proposed Rules 10CFR20 & 50 Re Reducing Regulatory Burden on Nuclear Licenses1992-07-22022 July 1992 Comment Supporting Proposed Rules 10CFR20 & 50 Re Reducing Regulatory Burden on Nuclear Licenses ST-HL-AE-4146, Comment Supporting Draft Reg Guide DG-1021, Selection, Design,Qualification,Testing & Reliability of EDG Units Used as Class 1E Onsite Electric Power Sys at Nuclear Power Plants1992-07-0606 July 1992 Comment Supporting Draft Reg Guide DG-1021, Selection, Design,Qualification,Testing & Reliability of EDG Units Used as Class 1E Onsite Electric Power Sys at Nuclear Power Plants ST-HL-AE-4145, Comment on Proposed Rule 10CFR50 Re Loss of All Alternating Current Power & Draft Reg Guide 1.9,task DG-1021.Supports Rule1992-07-0606 July 1992 Comment on Proposed Rule 10CFR50 Re Loss of All Alternating Current Power & Draft Reg Guide 1.9,task DG-1021.Supports Rule ML20101K1131992-06-29029 June 1992 Motion for Leave to Suppl Motion to Modify or Quash Subpoenas & Supplemental Info.* OI Policy Unfair & Violative of Subpoenaed Individuals Statutory Rights & Goes Beyond Investigatory Authority.W/Certificate of Svc ML20101G2041992-06-18018 June 1992 Motion to Modify or Quash Subpoenas.* Requests Mod of Subpoenas Due to Manner in Which Ofc of Investigations Seeks to Enforce Is Unreasonable & Fails to Protect Statutory Rights of Subpoenaed Individuals.W/Certificate of Svc ML20087L3301992-04-0202 April 1992 Affidavit of RW Cink Re Speakout Program ML20087L3561992-04-0202 April 1992 Affidavit of Wj Jump Re Tj Saporito 2.206 Petition ML20087L3491992-04-0202 April 1992 Affidavit of JW Hinson Re ATI Career Training Ctr ML20087L3651992-04-0202 April 1992 Affidavit of Rl Balcom Re Access Authorization Program ML20116F2671992-02-19019 February 1992 Requests NRC to Initiate Swift & Effective Actions to Cause Licensee to Immediately Revoke All Escorted Access to Facility ML20094E9511992-02-10010 February 1992 Requests That NRC Initiate Swift & Effective Actions to Cause Licensee to Immediately Revoke All Escorted Access to Facility & to Adequately Train All Util Employees in Use of Rev 3 to Work Process Program ML20066C5041990-09-24024 September 1990 Comment on Proposed Rule 10CFR26 Re NRC Fitness for Duty Program.Urges NRC Examine Rept Filed by Bay City,Tx Woman Who Was Fired from Clerical Position at Nuclear Power Plant Due to Faulty Drug Test Administered by Util ML20006A0281990-01-0808 January 1990 J Corder Response to NRC Staff Motion to Modify Subpoena & Motion for Protective Order.* Requests Protective Order Until NRC Makes Documents Available to Corder by FOIA or Directly.W/Certificate of Svc ML20005G1431989-12-11011 December 1989 Motion to Modify Subpoena & Motion for Protective Order.* Protective Order Requested on Basis That Subpoena Will Impose Undue Financial Hardship on J Corder ML20005G1451989-12-0505 December 1989 Affidavit of Financial Hardship.* Requests NRC to Provide Funds for Investigation & Correction of Errors at Plant Due to Listed Reasons,Including Corder State of Tx Unemployment Compensation Defunct ST-HL-AE-3164, Comment Supporting Proposed Rule 10CFR50, Acceptance of Products Purchased for Use in Nuclear Power Plant Structures,Sys & Components1989-07-0505 July 1989 Comment Supporting Proposed Rule 10CFR50, Acceptance of Products Purchased for Use in Nuclear Power Plant Structures,Sys & Components ML20244C9131989-03-28028 March 1989 Transcript of 890328 Meeting in Rockville,Md Re Discussion/ Possible Vote on Full Power Ol.Pp 1-65.Supporting Documentation Encl ML20055G7801988-11-10010 November 1988 Investigative Interview of La Yandell on 881110 in Arlington,Tx.Pp 1-13.Related Info Encl ML20055G7831988-11-0909 November 1988 Investigative Interview of R Caldwell on 881109 in Arlington,Tx.Pp 1-27.Related Info Encl ML20055G7881988-11-0909 November 1988 Investigative Interview of AB Earnest on 881109 in Arlington,Tx.Pp 1-90.Related Info Encl ML20055G7151988-11-0909 November 1988 Investigative Interview of J Kelly on 881109 in Arlington, Tx.Pp 1-35.Supporting Documentation Encl ML20205T7001988-11-0101 November 1988 Comment Supporting Proposed Rule 10CFR26 Re Initiation of Fitness for Duty Program at Facility.Need for Program Based on Presumption That Nuclear Power Activities Require That Personnel Be Free from Impairment of Illegal Drugs ML20151M2071988-07-25025 July 1988 Comment Supporting Proposed Rules 10CFR170 & 171 Re Fee Schedules.Principal Objection to Rules Relates to Removal of Current Ceilings on Collection of Fees DD-88-09, Decision DD-88-09 Denying 880317 Petition by Earth First, Gray Panthers of Austin,Lone Star Green,Public Citizen,South Texas Cancellation Campaign & Travis County Democratic Women Committee for Commission to Delay Util Licensing Vote1988-06-17017 June 1988 Decision DD-88-09 Denying 880317 Petition by Earth First, Gray Panthers of Austin,Lone Star Green,Public Citizen,South Texas Cancellation Campaign & Travis County Democratic Women Committee for Commission to Delay Util Licensing Vote ML20196A3701988-06-17017 June 1988 Notice of Receipt of Petition for Director'S Decision Under 10CFR2.206 & Issuance of Director'S Decision Denying Petitioners Request ML20148K0271988-03-21021 March 1988 Transcript of 880321 Discussion/Possible Vote on Full Power License for South Texas Nuclear Project,Unit 1 (Public Meeting) in Washington,Dc.Viewgraphs Encl.Pp 1-73 ML20150D1401988-03-21021 March 1988 Appeal of Director'S Decision on Southern Texas Project.* Requests That Commission Consider Appeal & Stay Licensing Decision Until Sufficient Evidence Acquired to Support Final Decision ML20150D0411988-03-17017 March 1988 Petition Of:Earth First!,Gray Panthers of Austin,Lone Star Green,Public Citizen,South Texas Cancellation Campaign, Travis County Democratic Women'S Committee.* Withholding of Issuance of License Requested ML20196H4661988-02-29029 February 1988 Receipt of Petition for Director'S Decision Under 10CFR2.206.* Gap 880126 Petition to Delay Voting on Full Power OL for Facility Until Investigation of All Allegations Completed Being Treated,Per 10CFR2.206 ML20148Q9531988-01-26026 January 1988 Petition of Gap.* Commission Should Delay Vote on Licensing of Facility Until Thorough Investigation of All Allegations Completed & Public Rept Issued.Exhibits Encl ML20237C2751987-12-13013 December 1987 Director'S Decision 87-20 Denying Petitioners 870529 Motion That Record in Facility Licensing Hearings Be Reopened & Fuel Loading Be Suspended Pending Resolution of Issues. Petitioner Failed to Provide Any New Evidence ML20236H3751987-10-29029 October 1987 NRC Staff Consent to Motion to Quash Subpoena Filed by E Stites.* Staff Concedes Possibility of Deficiencies in Svc of Subpoena to Stites & Therefore Does Not Oppose Motion to Quash.Certificate of Svc Encl ML20236E0111987-10-23023 October 1987 Order.* Grants NRC Request for Addl Time to Respond to Motion to Quash Subpoena of E Stites,Per 871008 Order. Response Should Be Filed by 871029.Served on 871023 ML20235T3891987-10-0808 October 1987 Motion to Quash Subpoena & Motion for Protective Order.* Subpoena Issued by Rd Martin on 870922 Should Be Quashed Due to Stites Not Properly Served,Witness Fees & Transportation Costs Not Provided & Issuance in Bad Faith ML20235T4171987-10-0808 October 1987 Memorandum in Support of Motion to Quash or in Alternative in Support of Motion for Protective Order.* Martin 870922 Subpoena of Stites Invalid & Improper.Decision to Subpoena at Late Date Form of Harassment.W/Certificate of Svc ML20195D8561987-09-22022 September 1987 Subpoena Directing E Stites to Appear on 871008 in Arlington,Tx to Testify Before NRC Personnel Re Allegations Made Concerning safety-related Deficiencies &/Or Records Falsifications at Plant IA-87-745, Subpoena Directing E Stites to Appear on 871008 in Arlington,Tx to Testify Before NRC Personnel Re Allegations Made Concerning safety-related Deficiencies &/Or Records Falsifications at Plant1987-09-22022 September 1987 Subpoena Directing E Stites to Appear on 871008 in Arlington,Tx to Testify Before NRC Personnel Re Allegations Made Concerning safety-related Deficiencies &/Or Records Falsifications at Plant 1999-05-04
[Table view] Category:PLEADINGS
MONTHYEARML20101K1131992-06-29029 June 1992 Motion for Leave to Suppl Motion to Modify or Quash Subpoenas & Supplemental Info.* OI Policy Unfair & Violative of Subpoenaed Individuals Statutory Rights & Goes Beyond Investigatory Authority.W/Certificate of Svc ML20101G2041992-06-18018 June 1992 Motion to Modify or Quash Subpoenas.* Requests Mod of Subpoenas Due to Manner in Which Ofc of Investigations Seeks to Enforce Is Unreasonable & Fails to Protect Statutory Rights of Subpoenaed Individuals.W/Certificate of Svc ML20116F2671992-02-19019 February 1992 Requests NRC to Initiate Swift & Effective Actions to Cause Licensee to Immediately Revoke All Escorted Access to Facility ML20094E9511992-02-10010 February 1992 Requests That NRC Initiate Swift & Effective Actions to Cause Licensee to Immediately Revoke All Escorted Access to Facility & to Adequately Train All Util Employees in Use of Rev 3 to Work Process Program ML20006A0281990-01-0808 January 1990 J Corder Response to NRC Staff Motion to Modify Subpoena & Motion for Protective Order.* Requests Protective Order Until NRC Makes Documents Available to Corder by FOIA or Directly.W/Certificate of Svc ML20005G1431989-12-11011 December 1989 Motion to Modify Subpoena & Motion for Protective Order.* Protective Order Requested on Basis That Subpoena Will Impose Undue Financial Hardship on J Corder ML20150D1401988-03-21021 March 1988 Appeal of Director'S Decision on Southern Texas Project.* Requests That Commission Consider Appeal & Stay Licensing Decision Until Sufficient Evidence Acquired to Support Final Decision ML20148Q9531988-01-26026 January 1988 Petition of Gap.* Commission Should Delay Vote on Licensing of Facility Until Thorough Investigation of All Allegations Completed & Public Rept Issued.Exhibits Encl ML20236H3751987-10-29029 October 1987 NRC Staff Consent to Motion to Quash Subpoena Filed by E Stites.* Staff Concedes Possibility of Deficiencies in Svc of Subpoena to Stites & Therefore Does Not Oppose Motion to Quash.Certificate of Svc Encl ML20235T3891987-10-0808 October 1987 Motion to Quash Subpoena & Motion for Protective Order.* Subpoena Issued by Rd Martin on 870922 Should Be Quashed Due to Stites Not Properly Served,Witness Fees & Transportation Costs Not Provided & Issuance in Bad Faith ML20235T4171987-10-0808 October 1987 Memorandum in Support of Motion to Quash or in Alternative in Support of Motion for Protective Order.* Martin 870922 Subpoena of Stites Invalid & Improper.Decision to Subpoena at Late Date Form of Harassment.W/Certificate of Svc ML20216D1111987-06-25025 June 1987 Reply of Bp Garde to NRC Staff Opposition to Motion to Quash & De Facto Opposition to Petition Per 10CFR2.206.* NRC Has Not Established That Garde Assertions Not Sustainable.Certificate of Svc Encl ML20215D6471987-06-11011 June 1987 NRC Staff Answer Opposing Motion to Quash Subpoena Filed by Bp Garde,Esquire.* Gap Has Not Provided Sufficient Basis on Which Commission Could Conclude That attorney-client Privilege Protects Info Sought by Nrc.W/Certificate of Svc ML20214P3101987-05-29029 May 1987 Petition of Gap.* Requests That NRC Initiate Special Investigative Unit Complying W/Nrc Chapter Manual 0517, Excluding Region IV & V Stello from Participation,To Investigate Employee Allegations.Supporting Matl Encl ML20237G5981987-05-29029 May 1987 Motion to Reopen Record of Licensing Hearing to Determine Whether ASLB Conclusions Should Be Altered Due to Evidence of Undue Influence Exercised Over NRC Personnel by Util Mgt. Related Documentation Encl ML20214P2851987-05-29029 May 1987 Motion & Memo to Quash Subpoena.* Bp Garde Motion That Commission Quash V Stello 870520 Subpoena ML20203E1851986-07-22022 July 1986 Motion for Leave to File Supplemental Affidavit of Jn Wilson Re Design of Nonconforming Structures to Withstand Hurricanes & Tornados in Order to Correct Erroneous Statements Made in 860714 Affidavit.Related Correspondence ML20207E1131986-07-17017 July 1986 Statement of Views on Questions Re Design of Nonconforming Structures to Withstand Hurricanes & Tornadoes.W/Certificate of Svc.Related Correspondence ML20210E2071986-03-21021 March 1986 Motion to Compel Production of Documents Re Alleged Illegal Drug Use in Response to Applicant 860306 Response to Second Request for Production of Documents.Certificate of Svc Encl. Related Correspondence ML20154Q1391986-03-19019 March 1986 Response Opposing Citizens Concerned About Nuclear Power, Inc 860228 Motion to Reopen Phase II Record:V & for Board Ordered Production of Documents.Motion Not Timely Filed. Certificate of Svc Encl ML20154Q3341986-03-19019 March 1986 Response Supporting Applicant Motion for Leave to Reply to Portions of Citizens Concerned About Nuclear Power,Inc Partial Response to Show Cause Order.Certificate of Svc Encl.Related Correspondence ML20138B0161986-03-17017 March 1986 Response to Citizens Concerned About Nuclear Power,Inc 860228 Motion to Compel Further Answers to Second Set of Interrogatories.Disclosure of Info Constitutes Invasion of Employee Privacy.Certificate of Svc Encl ML20138A8781986-03-14014 March 1986 Response Opposing Citizens Concerned About Nuclear Power,Inc 860221 Motion to Reopen Phase II Record.Affidavit of JW Briskin Encl ML20141N8461986-03-12012 March 1986 Motion for Summary Disposition of Issue F.No Genuine Issue of Matl Fact Exists & Applicant Entitled to Favorable Decision.Affidavit of Je Geiger Encl ML20154B6111986-02-28028 February 1986 Response Opposing Portions of Concerned Citizen About Nuclear Power 860221 Partial Response to ASLB 860207 Show Cause Order.Further Arguments on Motion to Reopen Should Be Rejected.W/Certificate of Svc ML20154B4791986-02-28028 February 1986 Response Opposing Applicant 860218 Motion for Protective Order,Instructing Applicant Not to Answer 860204 Second Set of Interrogatories & Request for Production of Documents. W/Certificate of Svc.Related Correspondence ML20154B5781986-02-28028 February 1986 Motion for Leave to Reply to Portions of Concerned Citizen About Nuclear Power 860221 Partial Response to ASLB 860207 Show Cause Order.Proposed Reply Encl ML20154B8471986-02-28028 February 1986 Motion to Compel Applicant Response to Second Set of Interrogatories.Certificate of Svc Encl.Related Correspondence ML20205K6151986-02-21021 February 1986 NRC Position in Response to ASLB 860207 Memorandum & Order Requesting Addl Info to Resolve Citizens Concerned About Nuclear Power,Inc Motion to Reopen Phase II Record:Iv. Certificate of Svc Encl ML20141N2131986-02-21021 February 1986 Motion to Reopen Phase II Record to Admit Encl Deposition of JW Briskin,For Order to Produce Documentation Re Quadrex Corp & to Schedule Hearings at Conclusion of Ordered Production of Documents.Certificate of Svc Encl ML20137W8841986-02-18018 February 1986 Motion for Protective Order to Direct Util to Respond to Only Interrogatories 12a,b & C in Citizens Concerned About Nuclear Power 860204 Second Set of Interrogatories. Certificate of Svc Encl.Related Correspondence ML20151T7131986-02-0606 February 1986 Response Supporting Citizens Concerned About Nuclear Power, Inc 860117 Motion to Withdraw Contention Re Overpressurization of Westinghouse Reactors.Certificate of Svc Encl ML20151T6861986-02-0606 February 1986 Response Opposing Citizens Concerned About Nuclear Power,Inc 860117 Motion to Reopen Phase II Record for Discovery & to Suspend Further Activity in Phase III ML20151U6731986-02-0303 February 1986 Response to Citizens Concerned About Nuclear Power,Inc 860117 Motion to Reopen Phase II Record.Motion Supported to Include Addl Discovery & Hearings.Discovery Previously Limited by Board Contentions 9 & 10.W/Certificate of Svc ML20151T5841986-02-0303 February 1986 Response Opposing Citizens Concerned About Nuclear Power 860117 Motion to Reopen Phase II Record:Iv;For Discovery & to Suspend Further Phase III Activity.Util Withholding Quadrex Rept W/Intent to Deceive ASLB ML20198H2791986-01-29029 January 1986 Response Supporting Applicant 860109 Motion to Incorporate Corrections Into 851205 & 06 Transcripts.Certificate of Svc Encl ML20137J0971986-01-17017 January 1986 Motion to Reopen Phase II Record:Motion IV for Discovery & to Suspend Further Activity in Phase Iii.Encl EA Saltarelli Oral Deposition & Overview of Facility Engineering Should Be Entered Into Phase Ii.Related Correspondence ML20140B6191986-01-17017 January 1986 Motion for Withdrawal of Contention Re Overpressurization of Westinghouse Reactors.Certificate of Svc Encl ML20137A8731986-01-0909 January 1986 Motion to Incorporate Proposed Corrections to Transcript of 851205-06 Hearing ML20151T5291986-01-0303 January 1986 Response Supporting Citizens Concerned About Nuclear Power 860114 Motion to Withdraw Pending Contention on Overpressurization of Westinghouse Reactors.Certificate of Svc Encl ML20137L9501985-11-27027 November 1985 Motion to Sequester Witnesses to Be Called in Reopened Phase II Hearings on 851205 & 06 Re Issues of Credibility. Certificate of Svc Encl.Related Correspondence ML20210A4581985-11-13013 November 1985 Response Supporting Applicant 851014 Motion to Establish Schedule for Phase III of Proceeding.Certificate of Svc Encl ML20205G5251985-11-0808 November 1985 Response to Applicant 851014 Motion to Establish Schedule for Phase III Hearings.Proceeding Activities Re Phase III Should Be Suspended Until After Issuance of Partial Initial Decision Phase Ii.Certificate of Svc Encl ML20198B7991985-11-0505 November 1985 Motion Opposing Intervenor 851016 Motions to Reopen Phase II Record.Stds for Reopening Record Not Met.Certificate of Svc Encl ML20198B8431985-11-0404 November 1985 Motion to Strike Reckless Charges in 851029 Withdrawal Motion from Record.Intervenor Should Be Warned That Repetition of Behavior Will Not Be Tolerated.Certificate of Svc Encl ML20138N2431985-10-31031 October 1985 Response Opposing Citizens Concerned About Nuclear Power Motion to Reopen Phase II Record:Ii.Exhibits 2 & 4 Barren of Any Info on Quadrex Review or Results.W/Certificate of Svc ML20138N0291985-10-29029 October 1985 Motion to Withdraw 851016 Motion to Reopen Phase II Record & for Discovery.Certificate of Svc Encl ML20138H9981985-10-24024 October 1985 Response to Applicant 851004 Motion to Incorporate Transcript Corrections.Offers No Objection Except for Listed Proposed Changes.Certificate of Svc Encl ML20133J1521985-10-16016 October 1985 Motion to Reopen Phase II Record to Admit Four Encl Exhibits.Certificate of Svc Encl ML20133J3501985-10-16016 October 1985 Motion to Reopen Phase II Record & Extend Right to Discovery Set Forth in ASLB 850618 Memorandam & Order to All Parties. Certificate of Svc Encl 1992-06-29
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Text
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'Dxr THE UNITED STATES OF AMERICA 4 c'hilP,--
NUCLEAR REGULATORY COMMISSION ' '
BEFORE THE ATOMIC SAFETY AND LICENSING BOARD
- N THE MATTER OF: S S
HOUSTON LIGHTING & POWER S Docket Nos. 50-498A COMPANY, ET AL. (South 5 50-499A Texas Project, Units I S and II S CENTRAL POWER & LIGHT COMPANY'S OBJECTIONS AND MOTION FOR PRO-TECTIVE ORDER REGARDING CERTAIN OF THE INTERROGATORIES AND REQUESTS FOR PRODUCTION OF DOCUMENTS FROM THE PUBLIC UTILITIES BOARD OF THE CITY OF BROWNSVILLE On February, 28, 1979, Central Power & Light Company (" CPL") responded to interrogatories and requests for production of documents served upon CPL by the Public Utilities Board of the City of Brownsville
("Brownsville"). CPL hereby submits its objections in order to protect its rights under Section 2.740(f) of the Commission's Rules of Practice. Further, in accordance with Section 2.740 (c) of the Rules of Practice, CPL moves the Board for a protective order.
General Objections
- 1. CPL objects to Definition J as purporting to define CPL as including its parent. CPL's parent, Central and South West Corporation ("CSW"), is an intervenor in the 730326D2 pq
e Comanche Peak antitrust proceeding (In the Matter of Texas Utilities Generating Co. at al., Docket Nos.
50-445A and 50-446A), which has been consolidated with this proceeding for purposes of discovery. Brownsville may therefore direct a discovery request to CSW. To require CPL to respond to discovery requests on behalf of CSW would constitute an undue burden upon CPL. CPL will, of course, comply with the discovery requests insofar as CPL can, but it objects to having to answer certain interrogatories or requests on behalf cf CSW.
- 2. Similarly, CPL objects, except as to responsive information or documents of which CPL has possession, to discovery requests insofar as they purport to require responses on behalf of " affiliated" companies. This ob-jection applies to the following interrogatories:
5(b), 6(b), 7 (b) , 8, 9, 11, 12, 14, 15, 18 (a) (i) , 18(d),
20(a), 21(a), 21(b), 22, 23(b), 24 (a)-(c) , 25 (b) , 25'd),
26 (b)-(c) , 29 (a) -(b) , 30, 33 (a)-(b) , 34 (b)-(d) and 36.
Specific Objections
- 3. CPL objects to the production of documents requested in Interrogatory 11 unless access to certain of such documents be limited to counsel for Brownsville and their independent consultants only. CPL's response to
~
this request encompasses documents which are confidential and proprietary in nature. Information regarding CPL's gas supply has customarily been held in confidence by CPL, in part at least because public access to such information might jeopardize CPL's competitive posture.
4.(a) CPL objects to Interrogatory 13 insofar as it requires CPL to provide informaticn for WTU, SWEPCO and PSO. CPL does not possess the requested information as to these companies.
(b) Insofar as Interrogatory 13(a) requires the production of fuel contracts, CPL objects unless access to these documents be limited to counsel for Brownsville and their independent consultants only. Certain of the information contained in the fuel contracts is confidential and has always been treated as such by CPL. Disclosure of this information may jeopardize CPL's competitive pceture.
- 5. CPL objects to the production of documents requested in Interrogatories 29 (b) and 29 (c) unless access to cer+.ain of such documents, or any copies thereof, or use of any information contained therein, be limited to counsel for Brownsville and their independent consultants only. Some of the information responsive to these interrogatories is customarily held in confidence by CPL. The customer or its representative often requests that such information
be kept confidential, as it may affect the customer's competitive pesture as well as its ability to acquire land and/or existing structures. This is, for example, particularly true with respect to possible new locations for plants or other facilities. CPL has preserved the confidentiality of such information. Such information is clearly not found in any public sources.
- 6. CPL objects to Interrogatory 31 for the reasons stated in paragraph 4(a), supra.
- 7. CPL objects to Interrogatories 34(a) and 34(c) unless access to certain of such documents, or any copies thereof, or use of any inforration contained therein, be limited to counsel for B swnsville and their independent consultants only. ;ome of these documents are treated as confidential in nature, often at the request of a potential or existing customer or its representative. CPL may provide information concerning cost of service, etc. to potential or existing customers which is likewise treated as confidential. Unlimited access to such information may jeopardize CPL's competitive posture or that of potential or existing customers.
- 8. CPL objects to Interrogatory 36. It is impossible for C9L to provide updated responses to the numerous sets of interrogatories and requests for
production of documents in this proceeding and in related proceedings without additional time. Updating will constitute an extensive and time-consuming undertaking and CPL, therefore, seeks a protective order that it be cranted additional time up to and including April 3, 1979 within whien to respond to Interrogatory 36.
Motion for Protective Order WHEREFORE, CPL moves the Board for a protective order with respect to Brownsville's discovery requests:
(a) Relieving CPL from compliance, except as to information of which CPL is aware or documents of which CPL has possession, with discovery requests insofar as they require CPL to respond on behalf of CSW: or with Interrogatories 5(b), 6(b), 7(b), 8, 9, 11, 12, 14, 15, 18 (a) (i) , 18(d), 20(a), 21(a), 21(b), 22, 23(b), 24 (a)-(c' ,
25(b), 25 (d) , 26 (b)-(c) , 29 (a) -(b) , 30, 3 3 (a)- (b) ,
34 (b)-(d) and 36 insofar as they purport to require res-ponses on behalf of " affiliated" companies.
(b) Limiting access to documents produced in response to Interrogatories 11, 13 (a ) , 2 9 (b) , 29(c), 34 (a) and 31(cf to counsel for Brownsville and their independent consultants only.
(c) Relieving CPL from compliance with Interrogatories 13 and 31 insofar as they require CPL to respond on behalf of WTU, SWEPCO and PSO.
(d) Relieving CPL from responding to Interrogatory 36 until April 3, 1979.
Respectfully submitte '
hc ,
t /4- (~ /). f Thomas G. Ryan /
Attorney for Central Power & Light Company ISHAM, LINCOLN & BEALE One First National Plaza Suite 4300 Chicago, Illinois 60603 (312) 786-7500
THE STATE OF TEXAS I I
COUNTY OF NUECES I AFFIDAVIT I, W. C. Price, having been duly sworn, do depose and say that I am Vice President of Central Power and Light Company, that I have reviewed the foregoing Objections and Motions for Protective Order; that I have supervised and coord:nated the gathering of the matters contained in the Answers of Central Power and Light Company to the Interrocatories and Request for Production of the Public Utilities Board of the City of Brownsville, Texas; that there is contained in documents responsive to these Interrogatories and Request certa n confidential information; and that Central Power and Light Company desires to preserve the confidentiality of these documents and this information, as more specifically described in the Objection and Motion for Protective Order.
W. C. Price Subscribed and Sworn to before me on this 27th day o f Februa ry , 1979 1 ,
Mm ( u [( \.s IMELDA V. PEREZ Notary Public ir! and for Nueces County, Texas
THE UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD IN THE MATTER OF: S 6
HOUSTON LIGHTING & POWER S Docket Nos. 50-498A COMPANY, ET AL. (South 5 50-499A Texas Project, Units I S and II S CERTIFICATE OF SERVICE I, Thomas G. Ryan, hereby certify that copies of the foregoing Answers of Central Power & Light Company to Corrected Initial Interrogatories to and First Request for Production of Documents by Central Power & Light Company From the Public Utilities Board of the City of Brownsville, Texas and Central Power & Light Company's Objections and Motion for Protective Order Regarding Certain of the Interrogatories and Requests for Production of Documents from the Public Utilities Board of the City of Brownsville, Texas were served upon the follo' ring persons by deposit in the United States mail, first class postage prepaid, this 28th day of February , 1979.
Marshall E. Miller, Esq. (2 copias) Mr. Jerome D Saltzmsn U.S. Nuclear Regulatory Chief, Antitrust and Commission Indemnity Group Washington D.C. 20555 U.S Nuclear Regulatory Commission Michael L. Glaser, Esq. (2 copies) Nuclear Reactor Regulation 1150 17th Street, N.W. Washington, D.C. 20555 Washington, D.C. 20036 J. Irion Worsham, Esq.
Sheldon J. Wolfe Esq. (2 copies) Merlyn D. Sampels, Esq.
U.S. Nuclear Regulatory Spencer C. Relyea Esq.
Commission Worsham, Forsythe & Sampels Washington, D.C. 20555 2001 Bryan Tower, Suite 2500 Dallas Texas 75201 Atomic Safety and Licensing Appeal Board Panel Jon C. Wood, Esq.
U.S Nuclear Regulatory W. Roger Wilson, Esq.
Commission Matthews, Nowlin, Macfarlane Washington, D.C. 20555 & Barrett 1500 Alamo National Building San Antonio, Texas 78205 Chase R. Stephens (original and Charles G. Thrash, Jr., Esq.
20 copies) E.W. Barnett, Esq.
Docketing and Service Branch Theodore F. Weiss, Esq.
U.S Nuclear Regulatory J. Gregory Copeland, Esq.
Commission Baker & Botts Washington, D.C. 20555 3000 One Shell Plaza Houston, Texas 77002
R. Gordon Gooch, Esq. Don R. Butler, Esq.
Sneed, Vina, Wilkerson, John P Mathis, Esq. Selman & Perry Baker & Botts 1701 Pennsylvania Avenue, N.W. P.O. Box 1409 Austin, Texas 7876' Washington, D.C. 20006 Roy P. Lessy, Jr., Esq.
Michael B. Blume, Esq. Jerry L. Harris, Esq.
U.S. Nuclear Regulatory Richard C. Balough, Esq.
Commission City of Austin Washington, D.C. 20555 P.O. Box 1088 Austin, Texas 78767 Roff Hardy Chairman and Chief Executive Don H. Davidson Officer City Manager Central Power and Light Company City of Austin P.O. Box 2121 P O. Box 1088 Corpus Christi, Texas 78403 Austin, Texas 78767 Mr. Perry G. Brittain Robert Lowenstein President J.A. Bouknight, Jr.
Texas Utilities Generating William J. Franklin Lowenstein, Newman, Reis &
Company 2001 Bryan Tower Axelrad Dallas, Texas 75201 1025 Connecticut Avenue, N.W.
Washington, D.C. 20036 John W. Davidson, Esq.
Sawtelle, Goode, Davidson &
R.L. Hancock, Director City of Austin Electric Utility Ticilo 1100 San Antonio Savings P.O. Box 1086 Austin, Texas 78767 Building San Antonio, Texas 7S205 G.W. Oprea, Jr.
Executive Vice President Douglas F. John, Esq.
Houston Lighting & Power Akin, Gump, Haver & Feld 1100 Madison Office Building Company 1155 15th Street, N.W.
P.O. Box 1700 D.C. 20005 Houston, Texas 77001 Washington, Judith Harris, Esq. Morgan Hunter, Esq.
Ronald Clark, Esq. Bill D. St. Clair, Esq.
McGinnis, Lockridge &
U.S. Department of Justice
- Antitrust Division Kilgore 411-llth Street, N.W. Fifth Floor, Texas State Bank Building Washington, D.C 20530 900 Congress Avenue Austin, Texas 78701
Kevin B. Pratt Texas Attorney General's Office Statt of Texas William H. Burch-tt, Esq.
P.O. Box 12548 Frederick H. Ritts, Esq.
Austin, Texas 78711 Northcutt Fly Watergate 600 Building W.S. Robson Washington, D.C. 20037 General Manager South Texas Electric Cooperating, Robert C. McDiarmid, Esq.
Inc. Robert Jablon, Esq.
Route 6, Building 102 Marc Poirier, Esq.
Victoria Regional Airport 2600 Virginia Avenue, N.W.
Victoria, Texas, 77901 Washington, D.C. 20037 Joseph B. Knotts, Jr. Richard D. Cudahy Esq.
Nicholas S. Reyncids Robert H. Loeffler, Esq.
Debevoise & Liberman Joseph Gallo, Esq.
806 15th Street, N W. Ste. 700 Isham, Lincoln & Beale Washington, D.C. 20005 1050 17th Street, N.W.
Seventh Floor Washington, D.C. 20036 Joseph Rutberg, Esq. Wheatley & Miller Antitrust Counsel 1112 Watergate Office Bldg.
Counsel for NRC Staff 2600 Virginia Avenue, N.W.
U.S. Nuclear Regulatory Commission Washington, D.C. 20037 Washington, D.C 20555 Joseph J. Saunders, Esq. Linda L Aaker, Esq.
Chief, Public Counsel & Assistant Attorncy General Legislative Section P.O. Box 12548 Antitrust Section Capital Station U.S. Department of 'ustice Austin, Texas 78711 P.O. Box 14141 Washington, D.C. 20044 G.K. Spruce 7eneral Manager Knoland J. Plucknett City Public Service Board Executive Director P.O. Box 1771 Committee on Power for the San Antonio, Texas 78203 Southwest, Inc.
5541 East Skelly Drive Tulsa, Oklahoma 74135
9 4
Jay M. Galt, Esq. Robert E. Bathen Looney, Nichols, Johnson & Hayes R.W. Beck & Associates 219 Couch Drive P.O. Box 6817 Oklahoma City, Oklahoma 73101 Orlando, Florida 82853 John E. Mathews, Jr. Esq.
Mathews, Osborne, Ehrlich, McNatt Gobelman & Cobb 1500 American Heritage Life Bldg.
Jacksonville, Florida 32202 , A y'
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THO"AS G. RYAN