ML20100L030: Difference between revisions

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==Dear Laurie:==
==Dear Laurie:==


We have received Mr. Johnson's April 9, 1985 letter to the Board on behalf of Joint Intervenors. Contrary to the letter's su                there was not an agreement to discuss Applicants'ggestion, response to Joint Intervenors' Second or Fourth Interrogatories. The April 17 meeting was scheduled for the sole purpose of discussing Joint Intervenors' motion to compel answers to Joint Intervenors' Third set of Inter-rogatories. Neither Applicants nor Joint Intervenors have ever suggested that the April 17 meeting be employed to discuss interrogatories other than those subject to the pending motions to compel.
We have received Mr. Johnson's {{letter dated|date=April 9, 1985|text=April 9, 1985 letter}} to the Board on behalf of Joint Intervenors. Contrary to the letter's su                there was not an agreement to discuss Applicants'ggestion, response to Joint Intervenors' Second or Fourth Interrogatories. The April 17 meeting was scheduled for the sole purpose of discussing Joint Intervenors' motion to compel answers to Joint Intervenors' Third set of Inter-rogatories. Neither Applicants nor Joint Intervenors have ever suggested that the April 17 meeting be employed to discuss interrogatories other than those subject to the pending motions to compel.
In addition, Applicants do not accept Joint Inter-venors' statement that Intervenors " retain the right" to file additional motions to compel.                Under the Commission's Rules of Practice, any motion addressing Applicants' re-                                  ,
In addition, Applicants do not accept Joint Inter-venors' statement that Intervenors " retain the right" to file additional motions to compel.                Under the Commission's Rules of Practice, any motion addressing Applicants' re-                                  ,
sponses to Joint Intervenors' Second Set of Interrogatories was due not later than January 21, 1985 and any motion addressing Applicants' responses to Joint Intervenors' Fourth set was due not later than April 5, 1985. See 10 C.F.R. 5 2.740(F). Joint Intervenors have not filed such motions and, under the Commission's Rules, no longer have the right to do so.
sponses to Joint Intervenors' Second Set of Interrogatories was due not later than January 21, 1985 and any motion addressing Applicants' responses to Joint Intervenors' Fourth set was due not later than April 5, 1985. See 10 C.F.R. 5 2.740(F). Joint Intervenors have not filed such motions and, under the Commission's Rules, no longer have the right to do so.

Latest revision as of 03:45, 24 September 2022

Advises That 850417 Meeting Scheduled for Sole Purpose of Discussing Joint Intervenors Motion to Compel Answers to Third Set of Interrogatories.Related Correspondence
ML20100L030
Person / Time
Site: Vogtle  Southern Nuclear icon.png
Issue date: 04/12/1985
From: Joiner J
TROUTMANSANDERS (FORMERLY TROUTMAN, SANDERS, LOCKERMA
To: Fowler L
LEGAL ENVIRONMENTAL ASSISTANCE FOUNDATION
References
CON-#285-552 OL, NUDOCS 8504160344
Download: ML20100L030 (2)


Text

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! TROUTMAN,

.....SANDERS,

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ATTORNEYS AT LAW cANotta suitoiNo. suite idoo 03.E7[p ia7 ptAcMTREE stattv Nc. U3MC ATLANTA, GEORGIA 30043 swtsc so.Nta.oc do* ese sooo ,,t.s o o.v..

April 12, 1985 HAND DELIVERED GFFICE . .: A!Aav 00CKETm a SERVICl.

SRANCH Laurie Fowler, Esq.

Legal Environmental Assistance Foundation . . . . ._

1102 Healey Building Atlanta, Georgia 30303 RE: Georgia Power Company, et al; Plant Vogtle Operating License Proceeding; NRC Docket Numbers 50-424 and 50-4256L.

Dear Laurie:

We have received Mr. Johnson's April 9, 1985 letter to the Board on behalf of Joint Intervenors. Contrary to the letter's su there was not an agreement to discuss Applicants'ggestion, response to Joint Intervenors' Second or Fourth Interrogatories. The April 17 meeting was scheduled for the sole purpose of discussing Joint Intervenors' motion to compel answers to Joint Intervenors' Third set of Inter-rogatories. Neither Applicants nor Joint Intervenors have ever suggested that the April 17 meeting be employed to discuss interrogatories other than those subject to the pending motions to compel.

In addition, Applicants do not accept Joint Inter-venors' statement that Intervenors " retain the right" to file additional motions to compel. Under the Commission's Rules of Practice, any motion addressing Applicants' re- ,

sponses to Joint Intervenors' Second Set of Interrogatories was due not later than January 21, 1985 and any motion addressing Applicants' responses to Joint Intervenors' Fourth set was due not later than April 5, 1985. See 10 C.F.R. 5 2.740(F). Joint Intervenors have not filed such motions and, under the Commission's Rules, no longer have the right to do so.

8504160344 850412 Sincerely, PDR G

ADOCK 05000424 PDR p

es E. Joiper JEJ/cim .

cc: Service List c *?)

a

_ UNITED S[ATES OF AMERICA NUCLEAR RE'ULATORY G COMMISSION e

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

)

GEORGIA POWER COMPANY, et.al.

) Docket Nos. 50-424

)

50-425 (Vogtle Electric Generating Plant, )

Units 1 and 2) )

SERVICE LIST f

Morton B. Margulies, Chairman 1" Douglas C. Teper Atomic Safety and Licensing Board 1253 Lenox Circle U. S. Nuclear Regulatory Commission Atlanta, Georgia 30306 Washington, D. C. 20555 5-Laurie Fowler & Vicki Breman Mr. Gustave A. Linenberger Legal Environmental Assistance Atomic Safety and Licensing Board Foundation U. S. Nuclear Regulatory Commission 1102 Healey Building Washington, D. C. 20555 Atlanta, Georgia 30303 Dr. Oscar H. Paris 4" Tim Johnson Atomic Safety and Licensing Board Campaign for a Prosperous Georgia U. S. Nuclear Regulatory Commission 175 Trinity Avenue, S. W.

Washington, D. C. 20555 Atlanta, Georgia 30303 Bernard M. Bordenick, Esquire Docketing and Service Section Office of Executive Legal Director Office of the Secretary U. S. Nuclear Regulatory Commission U. S. Nuclear Regulatory Washington, D. C. 20555 Commission Washington, D. C. 20555 Atomic Safety and Licensing Board .

Panel Bradley Jones, Esquire U. S. Nuclear Regulatory Commission Regional Counsel Washington, D. C. 20555 U. S. Nuclear Regulatory Commission Atomic Safety and Licensing Suite 3100 #

Appeal Board Panel 101 Marietta Street U. S. Nuclear Regulatory Commission Atlanta, Georgia 30303 Washington, D. C. 20555 m.