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DOCHETED USNHC Dated: | |||
00CKL; m.. R- | May 19, 1987 17 MY 27 P1 :27 UNITED STATES OF AMERICA gg. | ||
gr w a | 00CKL; m.. | ||
R-NUCLEAR REGULATORY COMMISSION gr w a g. | |||
before the ATOMIC SAFETY AND LICENSING BOARD | |||
In the Matter of | ) | ||
In the Matter of | |||
PUBLIC SERVICE COMPANY OF | ) | ||
) | |||
PUBLIC SERVICE COMPANY OF | |||
) | |||
APPLICANTS' OFF-SITE EP INTERROGATORIES l.ND REQUEST FOR THE PRODUCTION OF DOCUMENTS TO SEACOAST ANTI-POLLUTION LEAGUE I. INSTRUCTIONS Pursuant to 10 C.F.R. | Docket Nos. 50-443-OL NEW HAMPSHIRE, et al. | ||
As used herein, the term " document" or " documents" means all tangible things, whether handwritten, typed, printed or otherwise produced and all non-identical copies thereof in | ) | ||
tapes, studies, reports, summaries, instructions, charts, | 50-444-OL | ||
) | |||
Off-site Emergency (Seabrook Station, Units 1 and 2) ) | |||
Planning Issues | |||
) | |||
) | |||
APPLICANTS' OFF-SITE EP INTERROGATORIES l.ND REQUEST FOR THE PRODUCTION OF DOCUMENTS TO SEACOAST ANTI-POLLUTION LEAGUE I. | |||
INSTRUCTIONS Pursuant to 10 C.F.R. | |||
$$ 2.715(c), 2.740(b) and 2.741, Applicants request that the attached Interrogatories be answered fully in writing and under oath by an agent or official of Seacoast Anti-Pollution League (SAPL) who has personal knowledge thereof. | |||
The answer to each Interrogatory should contain the name and identification of the person supplying the answer and whether or not he or she has verified the answer. | |||
As used herein, the term " document" or " documents" means all tangible things, whether handwritten, typed, printed or otherwise produced and all non-identical copies thereof in j | |||
the possession, custody, or control of SAPL including, but j | |||
not limited to, communications, correspondence, notes, field notes, work sheets, survey instruments, models, disks, tapes, studies, reports, summaries, instructions, charts, schedules, photos, sketches and drawings, maps, records, accounts and accounting records, opinions, machine readible 8706020048 B70519 PDR ADOCK 05000443 G | |||
PDR_ | |||
)$d | |||
h .. | h.. | ||
~ | |||
records and computer translations, and reports of consultants. | records and computer translations, and reports of l | ||
consultants. | |||
(a) | As -used herein, the term " identify" 'means: | ||
1. | |||
(a) | In the case of a natural person: | ||
(a) name; (b) last known address; (c). employer or business affiliation; and (d) occupation and business position held. | |||
2. | |||
(a) | In the case of a document: | ||
Pursuant to 10 C.E.R. $ 2.740(e), responses should be supplemented under circumstances when new or difterent information becomes available. If SAPL cannot answer the Interrogatories in full, it shall so state and indicate when SAPL expects to be able to answer in full to the Interrogatory. | (a) identity of the person or persons preparing it; (b) its title or a description of the general nature of the subject matter; (c) the identity of the addressee; (d) date of preparation; (e) identity of persons who can identify it; and | ||
.(f) all of the aforementioned information should be supplied with such reasonable particularity sufficient to permit a specific demand for its production. | |||
In lieu of the foregoing, a copy of the document may be supplied. | |||
3. | |||
In the case of oral statements and communications: | |||
(a) when and where they were made; (b) identity of each of the makers and recipients thereof; (c) the medium of communication; and (d) substance of the statement and/or communication. | |||
Pursuant to 10 C.E.R. $ 2.740(e), responses should be supplemented under circumstances when new or difterent information becomes available. | |||
If SAPL cannot answer the Interrogatories in full, it shall so state and indicate when SAPL expects to be able to answer in full to the Interrogatory. | |||
If a privilege or work product immunity is asserted as a ground for not producing any document, state for each such document its preparation date, author (s), addressee (s), | If a privilege or work product immunity is asserted as a ground for not producing any document, state for each such document its preparation date, author (s), addressee (s), | ||
title (s), pages, recipient (s), custodian, and subject matter to the extent not privileged, as well as the basis for withholding it. | title (s), pages, recipient (s), custodian, and subject matter to the extent not privileged, as well as the basis for withholding it. _ _ _ _ _ _ _ _ _ _ - _ _ - _ - _ _ _ _ _ _ _ - _ _ _ _ _ _ _ _ _ | ||
r | r 4 | ||
II. | |||
INTERROGATORIES 1. | |||
(a) | Referring to SAPL's opposition to Applicants' motion for summary disposition on SAPL contentions 8, | ||
(d) | 8A, 15, 25, and 37 and to the Affidavit of Ann Hutchinson sponsored by you and incorporated therein: | ||
(a) | |||
State how many of "approximately 57 Berry Transportation Company drivers that I attempted to contact to implement the RERP during the emergency exercise" were in fact contacted; (b) | |||
Describe each instance of " mechanical problems" encountered; (c) | |||
Describe each instance of "miscommunications and lack of information from the State"; | |||
(d) | |||
Describe each instance of how bus and driver pairs "otherwise were unable to implement the RERP in accordance with the terms of that plan." | |||
Identify any documents regarding the claims of difficulty referred to in subparts (a)-(d). | Identify any documents regarding the claims of difficulty referred to in subparts (a)-(d). | ||
2. | |||
(a) | Referring to SAPL's opposition to Applicants' motion for summary disposition on SAPL contention 25 at page 2: | ||
(a) | |||
i | Identify what kind of agreement (s) SAPL contends Applicants ought to solicit regarding available public buildings designated reception areas; (b) | ||
I | Indicate what permission should be obtained and from whom. | ||
3. | |||
l | On page 4 of SAPL's opposition to Applicants' motion for summary disposition on SAPL Contention 8A, it is stated: | ||
"the requisite number of bus drivers | |||
.are by no means assured by letters of agreement with bus company owners and the Secretary-Treasurer of the Teamsters Union." State what kind of assurance SAPL believes is required and SAPL's reasons therefor. | |||
i I | |||
1 l | |||
r III. | r III. | ||
DOCUMENT REQUEST Applicants request that SAPL, pursuant to 10 C.F.R. | |||
5 2.741, provide copies of or make available for inspection and copying at a designated time and place the documents | 5 2.741, provide copies of or make available for inspection and copying at a designated time and place the documents | ||
-identified by SAPL in response to the foregoing Part II Interrogatories. | |||
l.Ljtk Thomhs G. Dignan, Jr. | l.Ljtk Thomhs G. Dignan, Jr. | ||
George H. | |||
(617) 423-6100 Counsel for Applicants 4 | Lewald Kathryn A. | ||
Selleck Ropes & Gray 225 Franklin Street Boston, MA 02110 (617) 423-6100 i | |||
Counsel for Applicants 4 | |||
4 i | 4 i | ||
i | i 4-4 | ||
~...,.. _. - -,, _ | |||
= _ _ _ _ - _. _ _ _, _.. | |||
r | r 4 | ||
DOLME H f! | |||
UWr CERTIFICATE OF SERVICE I, Kathryn A. Selleck, one of the attorneys for the | UWr CERTIFICATE OF SERVICE N | ||
Applicants herein, hereby certify that on May 19, 1987, I made service of the within document by depositing copigsna.. | I, Kathryn A. | ||
Selleck, one of the attorneys for the Applicants herein, hereby certify that on May 19, 1987, I made service of the within document by depositing copigsna.. | |||
where indicated, by depositing in the United States mail, | iC thereof with Federal Express, prepaid, fordeliveryto00cti,U{jj,,"D k | ||
Administrative Judge Helen Hoyt, | ~ | ||
East West Towers Building | where indicated, by depositing in the United States mail, first class postage paid, addressed to): | ||
* Atomic Safety and Licensing | Administrative Judge Helen Hoyt, Robert Carrigg, Chairman Chairperson, Atomic Safety and Board of Selectmen Licensing Board Panel Town Office U.S. Nuclear Regulatory Atlantic Avenue Commission North Hampton, NH 03862 East West Towers Building 4350 East West Highway Bethesda, MD 20814 Judge Gustave A. | ||
* Atomic Safety and Licensing | Linenberger Diane Curran, Esquire Atomic Safety and Licensing Andrea C. | ||
Ferster, Esquire Board Panel Harmon & Weiss U.S. Nuclear Regulatory Suite 430 Commission 2001 S Street, N.W. | |||
East West Towers Building Washington, DC 20009 4350 East West Highway Bethesda, MD 20814 Dr. Jerry Harbour Stephen E. | |||
Merrill Atomic Safety and Licensing Attorney General Board Panel George Dana Bisbee U.S. Nuclear Regulatory Assistant Attorney General Commission Office of the Attorney General East West Towers Building 25 Capitol Street 4350 East West Highway Concord, NH 03301-6397 Bethesda, MD 20814 | |||
* Atomic Safety and Licensing Sherwin E. Turk, Esquire Board Panel Office of the Executive Legal U.S. Nuclear Regulatory Director Commission U.S. | |||
Nuclear Regulatory Commission Washington, DC 20555 Tenth Floor 7735 Old Georgetown Road Bethesda, MD 20814 | |||
* Atomic Safety and Licensing Robert A. Backus, Esquire Appeal Board Panel 116 Lowell Street U.S. Nuclear Regulatory P.O. | |||
Box 516 Commission Manchester, NH 03105 Washington, DC 20555 | |||
r q | r q | ||
A Philip Ahrens, Esquire | A Philip Ahrens, Esquire Mr. | ||
* Senator Gordon J. Humphrey | J. P. Nadeau Assistant Attorney General Selectmen's Office Department of the Attorney 10 Central Road General Rye, NH 03870 Augusta, ME 04333 Paul McEachern, Esquire Carol S. | ||
* Senator Gordon J. Humphrey | Sneider, Esquire Matthew T. Brock, Esquire Assistant Attorney General e | ||
Washington, DC 20472 Gary W. Holmes, Esquire | Shaines & McEachern Department of the Attorney General 25 Maplewood Avenue-One Ashburton Place, 19th Floor P.O. Box 360 Boston, MA 02108 Portsmouth, NH 03801 Mrs. Sandra Gavutis Mr. Calvin A. Canney Chairman, Board of Selectmen City Manager RED 1 - Box 1154 City Hall Route 107 126 Daniel Street Kensington, NH 03827 Portsmouth, NH 03801 | ||
* Senator Gordon J. Humphrey Mr. Angie Machiros U.S. | |||
A Mr. Ed Thomas | Senate Chairman of the Washington, DC 20510 Board of Selectmen (Attn: | ||
Kathlyn A. Selleck | Tom Burack) | ||
(*= Ordinary U.S. First Class Mail.) | Town of Newbury Newbury, MA 01950 | ||
i | * Senator Gordon J. Humphrey Mr. Peter J. Matthews One Eagle Square, Suite 507 Mayor Concord, NH 03301 City Hall (Attn: | ||
Herb Boynton) | |||
Newburyport, MA 01950 Mr. Thomas F. Powers, III Mr. William S. | |||
Lord Town Manager Board of Selectmen Town of Exeter Town Hall - Friend Street 10 Front Street Amesbury, MA 01913 Exeter, NH 03833 H. Joseph Flynn, Esquire Brentwood Board of Selectmen Office of General Counsel RFD Dalton Road Federal Emergency Management Brentwood, NH 03833 Agency 500 C Street, S.W. | |||
Washington, DC 20472 Gary W. Holmes, Esquire Richard A. Hampe, Esquire Holmes & Ells Hampe and McNicholas 47 Winnacunnet Road 35 Pleasant Street Hampton, NH 03841 Concord, NH 03301 r-J | |||
,? | |||
A Mr. Ed Thomas Judith H. Mizner, Esquire FEMA, Region I Silverglate, Gertner, Baker, 442 John W. McCormack Post | |||
-Fine, Good & Mizner Office and Court House 88 Broad Street Post Office Square Boston, MA 02110 Boston, MA 02109 Charles P. Graham, Esquire McKay, Murphy and Graham 100 Main Street Amesbury, MA 01913 tv-Kathlyn A. | |||
Selleck | |||
(*= Ordinary U.S. | |||
First Class Mail.) | |||
i }} | |||
Latest revision as of 01:25, 4 December 2024
| ML20214N064 | |
| Person / Time | |
|---|---|
| Site: | Seabrook |
| Issue date: | 05/19/1987 |
| From: | Selleck K PUBLIC SERVICE CO. OF NEW HAMPSHIRE, ROPES & GRAY |
| To: | SEACOAST ANTI-POLLUTION LEAGUE |
| References | |
| CON-#287-3557 OL, NUDOCS 8706020048 | |
| Download: ML20214N064 (7) | |
Text
^
ghh N
DOCHETED USNHC Dated:
May 19, 1987 17 MY 27 P1 :27 UNITED STATES OF AMERICA gg.
00CKL; m..
R-NUCLEAR REGULATORY COMMISSION gr w a g.
before the ATOMIC SAFETY AND LICENSING BOARD
)
In the Matter of
)
)
PUBLIC SERVICE COMPANY OF
)
Docket Nos. 50-443-OL NEW HAMPSHIRE, et al.
)
50-444-OL
)
Off-site Emergency (Seabrook Station, Units 1 and 2) )
Planning Issues
)
)
APPLICANTS' OFF-SITE EP INTERROGATORIES l.ND REQUEST FOR THE PRODUCTION OF DOCUMENTS TO SEACOAST ANTI-POLLUTION LEAGUE I.
INSTRUCTIONS Pursuant to 10 C.F.R.
$$ 2.715(c), 2.740(b) and 2.741, Applicants request that the attached Interrogatories be answered fully in writing and under oath by an agent or official of Seacoast Anti-Pollution League (SAPL) who has personal knowledge thereof.
The answer to each Interrogatory should contain the name and identification of the person supplying the answer and whether or not he or she has verified the answer.
As used herein, the term " document" or " documents" means all tangible things, whether handwritten, typed, printed or otherwise produced and all non-identical copies thereof in j
the possession, custody, or control of SAPL including, but j
not limited to, communications, correspondence, notes, field notes, work sheets, survey instruments, models, disks, tapes, studies, reports, summaries, instructions, charts, schedules, photos, sketches and drawings, maps, records, accounts and accounting records, opinions, machine readible 8706020048 B70519 PDR ADOCK 05000443 G
PDR_
)$d
h..
~
records and computer translations, and reports of l
consultants.
As -used herein, the term " identify" 'means:
1.
In the case of a natural person:
(a) name; (b) last known address; (c). employer or business affiliation; and (d) occupation and business position held.
2.
In the case of a document:
(a) identity of the person or persons preparing it; (b) its title or a description of the general nature of the subject matter; (c) the identity of the addressee; (d) date of preparation; (e) identity of persons who can identify it; and
.(f) all of the aforementioned information should be supplied with such reasonable particularity sufficient to permit a specific demand for its production.
In lieu of the foregoing, a copy of the document may be supplied.
3.
In the case of oral statements and communications:
(a) when and where they were made; (b) identity of each of the makers and recipients thereof; (c) the medium of communication; and (d) substance of the statement and/or communication.
Pursuant to 10 C.E.R. $ 2.740(e), responses should be supplemented under circumstances when new or difterent information becomes available.
If SAPL cannot answer the Interrogatories in full, it shall so state and indicate when SAPL expects to be able to answer in full to the Interrogatory.
If a privilege or work product immunity is asserted as a ground for not producing any document, state for each such document its preparation date, author (s), addressee (s),
title (s), pages, recipient (s), custodian, and subject matter to the extent not privileged, as well as the basis for withholding it. _ _ _ _ _ _ _ _ _ _ - _ _ - _ - _ _ _ _ _ _ _ - _ _ _ _ _ _ _ _ _
r 4
II.
INTERROGATORIES 1.
Referring to SAPL's opposition to Applicants' motion for summary disposition on SAPL contentions 8,
8A, 15, 25, and 37 and to the Affidavit of Ann Hutchinson sponsored by you and incorporated therein:
(a)
State how many of "approximately 57 Berry Transportation Company drivers that I attempted to contact to implement the RERP during the emergency exercise" were in fact contacted; (b)
Describe each instance of " mechanical problems" encountered; (c)
Describe each instance of "miscommunications and lack of information from the State";
(d)
Describe each instance of how bus and driver pairs "otherwise were unable to implement the RERP in accordance with the terms of that plan."
Identify any documents regarding the claims of difficulty referred to in subparts (a)-(d).
2.
Referring to SAPL's opposition to Applicants' motion for summary disposition on SAPL contention 25 at page 2:
(a)
Identify what kind of agreement (s) SAPL contends Applicants ought to solicit regarding available public buildings designated reception areas; (b)
Indicate what permission should be obtained and from whom.
3.
On page 4 of SAPL's opposition to Applicants' motion for summary disposition on SAPL Contention 8A, it is stated:
"the requisite number of bus drivers
.are by no means assured by letters of agreement with bus company owners and the Secretary-Treasurer of the Teamsters Union." State what kind of assurance SAPL believes is required and SAPL's reasons therefor.
i I
1 l
r III.
DOCUMENT REQUEST Applicants request that SAPL, pursuant to 10 C.F.R. 5 2.741, provide copies of or make available for inspection and copying at a designated time and place the documents
-identified by SAPL in response to the foregoing Part II Interrogatories.
l.Ljtk Thomhs G. Dignan, Jr.
George H.
Lewald Kathryn A.
Selleck Ropes & Gray 225 Franklin Street Boston, MA 02110 (617) 423-6100 i
Counsel for Applicants 4
4 i
i 4-4
~...,.. _. - -,, _
= _ _ _ _ - _. _ _ _, _..
r 4
DOLME H f!
UWr CERTIFICATE OF SERVICE N
I, Kathryn A.
Selleck, one of the attorneys for the Applicants herein, hereby certify that on May 19, 1987, I made service of the within document by depositing copigsna..
iC thereof with Federal Express, prepaid, fordeliveryto00cti,U{jj,,"D k
~
where indicated, by depositing in the United States mail, first class postage paid, addressed to):
Administrative Judge Helen Hoyt, Robert Carrigg, Chairman Chairperson, Atomic Safety and Board of Selectmen Licensing Board Panel Town Office U.S. Nuclear Regulatory Atlantic Avenue Commission North Hampton, NH 03862 East West Towers Building 4350 East West Highway Bethesda, MD 20814 Judge Gustave A.
Linenberger Diane Curran, Esquire Atomic Safety and Licensing Andrea C.
Ferster, Esquire Board Panel Harmon & Weiss U.S. Nuclear Regulatory Suite 430 Commission 2001 S Street, N.W.
East West Towers Building Washington, DC 20009 4350 East West Highway Bethesda, MD 20814 Dr. Jerry Harbour Stephen E.
Merrill Atomic Safety and Licensing Attorney General Board Panel George Dana Bisbee U.S. Nuclear Regulatory Assistant Attorney General Commission Office of the Attorney General East West Towers Building 25 Capitol Street 4350 East West Highway Concord, NH 03301-6397 Bethesda, MD 20814
- Atomic Safety and Licensing Sherwin E. Turk, Esquire Board Panel Office of the Executive Legal U.S. Nuclear Regulatory Director Commission U.S.
Nuclear Regulatory Commission Washington, DC 20555 Tenth Floor 7735 Old Georgetown Road Bethesda, MD 20814
- Atomic Safety and Licensing Robert A. Backus, Esquire Appeal Board Panel 116 Lowell Street U.S. Nuclear Regulatory P.O.
Box 516 Commission Manchester, NH 03105 Washington, DC 20555
r q
A Philip Ahrens, Esquire Mr.
J. P. Nadeau Assistant Attorney General Selectmen's Office Department of the Attorney 10 Central Road General Rye, NH 03870 Augusta, ME 04333 Paul McEachern, Esquire Carol S.
Sneider, Esquire Matthew T. Brock, Esquire Assistant Attorney General e
Shaines & McEachern Department of the Attorney General 25 Maplewood Avenue-One Ashburton Place, 19th Floor P.O. Box 360 Boston, MA 02108 Portsmouth, NH 03801 Mrs. Sandra Gavutis Mr. Calvin A. Canney Chairman, Board of Selectmen City Manager RED 1 - Box 1154 City Hall Route 107 126 Daniel Street Kensington, NH 03827 Portsmouth, NH 03801
- Senator Gordon J. Humphrey Mr. Angie Machiros U.S.
Senate Chairman of the Washington, DC 20510 Board of Selectmen (Attn:
Tom Burack)
Town of Newbury Newbury, MA 01950
- Senator Gordon J. Humphrey Mr. Peter J. Matthews One Eagle Square, Suite 507 Mayor Concord, NH 03301 City Hall (Attn:
Herb Boynton)
Newburyport, MA 01950 Mr. Thomas F. Powers, III Mr. William S.
Lord Town Manager Board of Selectmen Town of Exeter Town Hall - Friend Street 10 Front Street Amesbury, MA 01913 Exeter, NH 03833 H. Joseph Flynn, Esquire Brentwood Board of Selectmen Office of General Counsel RFD Dalton Road Federal Emergency Management Brentwood, NH 03833 Agency 500 C Street, S.W.
Washington, DC 20472 Gary W. Holmes, Esquire Richard A. Hampe, Esquire Holmes & Ells Hampe and McNicholas 47 Winnacunnet Road 35 Pleasant Street Hampton, NH 03841 Concord, NH 03301 r-J
,?
A Mr. Ed Thomas Judith H. Mizner, Esquire FEMA, Region I Silverglate, Gertner, Baker, 442 John W. McCormack Post
-Fine, Good & Mizner Office and Court House 88 Broad Street Post Office Square Boston, MA 02110 Boston, MA 02109 Charles P. Graham, Esquire McKay, Murphy and Graham 100 Main Street Amesbury, MA 01913 tv-Kathlyn A.
Selleck
(*= Ordinary U.S.
First Class Mail.)
i