ML20010C159

From kanterella
Revision as of 07:30, 27 January 2020 by StriderTol (talk | contribs) (Created page by program invented by StriderTol)
(diff) ← Older revision | Latest revision (diff) | Newer revision → (diff)
Jump to navigation Jump to search
Third Application for Order Requiring NRC to Answer Porter County Chapter Intervenor'S Third Set of Interrogatories. Related Correspondence
ML20010C159
Person / Time
Site: Bailly
Issue date: 08/11/1981
From: Whicher J
PORTER COUNTY CHAPTER INTERVENORS, VOLLEN, R.J. & WHICHER, J.M.
To:
Atomic Safety and Licensing Board Panel
References
NUDOCS 8108190197
Download: ML20010C159 (2)


Text

70Q \

/,

E2LLTED C0ilRESPONDENCF A 8/ \

UNITED STA2S OF AMERICA J . Q NUCLEAR REGULATORY COMMISSION $ f,US 131981 > jl BEFORE THE ATOMIC SAFETY AND LICENSING BOARD g CO..I'".'$.3[I[

.... .g In the Matter of ) N #

mt

)

NORTHERN INDIANA PUBLIC ) Docket No. 50-36 -

SERVICE COMPANY ) (Construction Q (Bailly Generating Station, ) Extension) '

Nuclear-1) )

)

hf y L'h e& -

PORTER COUNTY CHAPTER INTERVENORS' -

h>.

m THIRD APPLICATION PURSUANT TO 10 CFR S2.720(h)(2)(ii)

'h c

-b fo[ /$.

/

+y cy, fs th ) $ l Porter County Chapter Intervenors (PCCI), by their attorneys, hereby apply to_the Board pursuant to 10 CFR $2.720(h)(2)(ii) .

for an. order requiring the NRC staff to answer Porter County Chapter Intervenors ' Third Set of Interrogatories to the NRC Staff, being filed simultaneously with this application. These interrogatories are based on the three staff documents filed on July 17, 1981:

the " Evaluation of the Request for an Extension",- the " Negative Declaration',' and the " Environmental Impact Appraisci." Because PCCI cannot adequately prepare its case without the staff's answers, they are necessary to PCCI's presentation of their case and evaluation of the staff's case, and thus to a proper decision in this proceeding. Since the interrogatories go to matters solv y within the staff's knowledge, answers are not reasonably obtainable from any other source. ,

g5 O I*

i t -

G

~

. -; .

~

J. )

PCCI, therefore, request the Board to find, under 10 CFR l

$ 2. 720(h) (2) (ii) , that answers to the interrogatories are <

necessary to a proper . decision in this proceeding and are not

. reasonably obtainable from any other source, and to order the staff to answer the interrogatories.

1 DATED: August 11, 1981 Respectfully submitted, Robert J. Vollen -

Jane M. Whicher by: o m_.- -

Q_Du Jane M. Whicher Attorneys for Porter County Chapter Intervenors Robert J. . Vollen Jane M. Whicher c/o BPI a

109 North De'rborn

Suite 1300 Chicago, Illinois 60602 (312) 641-5570 b e e

e

+-

,-v.,-