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Category:CORRESPONDENCE-LETTERS
MONTHYEARML20217F8911999-10-13013 October 1999 Forwards Copy of FEMA Region IV Final Rept for 990623-24, Grand Gulf Nuclear Station Exercise.Rept Indicates No Deficiencies or Areas Requiring Corrective Action Identified During Exercise ML20216J8891999-10-0404 October 1999 Forwards Details of Existing Procedural Guidance & Planned Administrative Controls.Util Respectfully Requests NRC Review & Approval of Changes by 991020.Date Will Permit to Implement Changes & Realize Full Benefit During Refueling ML20217B0361999-10-0404 October 1999 Refers to Investigation Conducted by NRC OI Re Activities at Grand Gulf Nuclear Station.Investigation Conducted to deter- Mine Whether Security Supervisor Deliberately Falsified Unescorted Access Authorizations.Allegation Unsubstantiated ML20212J8151999-09-29029 September 1999 Forwards Insp Rept 50-416/99-12 on 990725-0904.One Violation Noted & Being Treated as Noncited Violation.Licensee Conduct of Activities at Grand Gulf Facility Characterized by Safety Conscious Operations,Sound Engineering & Maint Practices ML20216J6811999-09-28028 September 1999 Ack Receipt of ,Transmitting Rev 31 to Physical Security Plan for GGNS Under Provisions of 10CFR50.54(p). NRC Approval Not Required,Based on Determination That Changes Do Not Decrease Effectiveness & Limited Review ML20212J7361999-09-28028 September 1999 Forwards Insp Rept 50-416/99-11 on 990830-0903.No Violations Noted.Purpose of Insp to Review Solid Radioactive Waste Management & Radioactive Matl Transportation Programs ML20212J5321999-09-27027 September 1999 Forwards Insp Rept 50-416/99-14 on 990830-0903.No Violations Noted.Inspectors Determined That Radioactive Waste Effluent Releases Properly Controlled,Monitored & Quantified ML20216J7101999-09-26026 September 1999 Forwards NRC Form 536,in Response to NRC Administrative Ltr 99-03, Preparation & Scheduling of Operator License Examinations ML20216J8141999-09-26026 September 1999 Forwards Proprietary Renewal Applications for Licensed Operators for Wk Gordon & SA Elliott at Grand Gulf Nuclear Station.Proprietary Info Withheld ML20212F5521999-09-23023 September 1999 Forwards SER Accepting Util Analytical Approach for Ampacity Derating Determinations at Grand Gulf Nuclear Station,Unit 1 & That No Outstanding Ampacity Derating Issues as Identified in GL 92-08 Noted ML20212D9211999-09-16016 September 1999 Informs That NRC Staff Completed Midcycle PPR of GGNS on 990818 & Identified No Areas in Which Licensee Performance Warranted Insp Beyond Core Insp Program.Details of Insp Plan Through March 2000 Encl ML20212A9331999-09-13013 September 1999 Forwards Partially Withheld Insp Rept 50-416/99-15 on 990816-20 (Ref 10CFR73.21).One Violation of NRC Requirements Occurred & Being Treated as Ncv,Consistent with App C of Enforcement Policy ML20211P7631999-09-10010 September 1999 Discusses Staff Issuance of SECY-99-204, Kaowool & FP-60 Fire Barriers at Plant.Proposed Meeting to Discuss Subj Issues Will Take Place in Oct or Nov 1999 ML20212A6951999-09-0909 September 1999 Requests That Licensees Affected by Kaowool Fire Barriers Take Issue on Voluntary Initiative & Propose Approach for Resolving Subj Issues.Staff Plans to Meet with Licensees to Discuss Listed Topics ML20212A8341999-09-0909 September 1999 Requests That Licensees Affected by Kaowool Fire Barriers Take Issue on Voluntary Initiative & Propose Approach for Resolving Subj Issues.Staff Plans to Meet with Licensees to Discuss Listed Topics ML20211Q3471999-09-0909 September 1999 Forwards Federal Emergency Mgt Agency Final Rept for 990623 Plant Emergency Preparedness Exercise.No Deficiencies Noted & One Area Requiring Corrective Action Identified ML20211Q3091999-09-0909 September 1999 Forwards Safety Evaluation Accepting BWROG Rept, Prediction of Onset of Fission Gas Release from Fuel in Generic BWR, Dtd July 1996 ML20211Q4861999-09-0808 September 1999 Informs That Util Has Discovered Dose Calculation Utilized non-conservative Geometry Factor for Parameter.Calculation Error Being Evaluated in Accordance with Corrective Action Program ML20211Q0091999-09-0808 September 1999 Forwards Request for Addl Info Re Individual Plant Exam of External Events for Grand Gulf Nuclear Station,Unit 1. Response Requested by 000615 ML20211N4301999-09-0808 September 1999 Discusses Proposed Meeting to Discuss Kaowool Fire Barriers. Staff Requesting That Affected Licensees Take Issue on Voluntary Initative & Propose Approach for Resolving Issues ML20211P4171999-09-0707 September 1999 Ack Receipt of ,Which Transmitted Addendum to Rev 30 to Physical Security Plan for Ggns,Per 10CFR50.54(p).NRC Approval Is Not Required,Since Util Determined That Changes Do Not Decrease Effectiveness of Plan ML20211P4121999-09-0707 September 1999 Requests NRC Staff Review & Approval of Integrated Nuclear Security Plan (Insp) & Integrated Security Training & Qualification Plan (Ist&Q), for Use by All Entergy Operations,Inc.Encl Withheld,Per 10CFR2.790(d) ML20211K6061999-08-31031 August 1999 Informs That Plant Has No Candidates to Take 991006 Generic Fundamentals Exam ML20211K5641999-08-31031 August 1999 Forwards Rev 39 to Grand Gulf Nuclear Station Emergency Plan Non-Safety Related, IAW 10CFR50,App E,Section V. Changes Do Not Decrease Effectiveness of Plan & Continues to Meets Stds of 10CFR50.47(b) & Requirements of App E ML20211J2321999-08-26026 August 1999 Advises That Info Contained in to Support NRC Review of GE Rept, Prediction of Onset of Fission Gas Release from Fuel in Generic BWR, Will Be Withheld from Public Disclosure ML20211J3761999-08-25025 August 1999 Corrected Ltr Informing That Info Provided (on Computer Disk & in Ltr to Ineel ) Marked as Proprietary Will Be Withheld from Public Disclosure Per 10CFR2.790(b)(5) & Section 103(b) of AEA of 1954,as Amended.Corrected 990827 ML20211F4881999-08-25025 August 1999 Advises That Info Submitted by 990716 Application & Affidavit Containing Diskette & to Ineel Mareked Proprietary Will Be Withheld from Public Disclosure,Per 10CFR2.790(b)(5) & Section 103(b) of AEA of 1954 ML20211F7751999-08-24024 August 1999 Forwards Insp Rept 50-416/99-10 on 990809-13.No Violations Noted.Insp Covered Licensed Operator Requalification Program & Observations of Requalification Activities ML20211C4381999-08-20020 August 1999 Forwards Rev 31 to Physical Security Plan for Protection of Grand Gulf Nuclear Station,Iaw 10CFR50.54(p).Util Has Determined That Rev Does Not Decrease Effectiveness of Plan. Encl Withheld,Per 10CFR73.21 ML20211C5101999-08-19019 August 1999 Forwards Certified Copies of Liability Insurance Policy Endorsements Issued in First Half of 1999 for Each Entergy Operations,Inc Nuclear Unit,Per 10CFR140.15 ML20211B3761999-08-16016 August 1999 Submits Voluntary Response to NRC AL 99-02, Operating Reactor Licensing Actions Estimates, for Fys 2000 & 2001, ML20211A9501999-08-12012 August 1999 Discusses 990720-21 Workshop Conducted in Region IV Ofc,Re Exchange of Info in Area of Use of Risk Insights in Regulatory Activities.List of Attendees,Summary of Topic & Issues,Agenda & Copies of Handouts Encl ML20211A9481999-08-12012 August 1999 Informs of Completion of Analysis of Heat Transfer in Cooler During Fan Coast Down & Concludes That Potential Exists for Steam Foundation,Under Conditions Where Dcw Sys Flow Is Lost Prior to Full Isolation Valve Closure ML20210P8411999-08-0909 August 1999 Forwards Insp Rept 50-416/99-09 on 990613-0724.No Violations Noted.Activities at Facility Generally Characterized by safety-conscious Operations,Sound Engineering & Maint Practices & Careful Radiological Work Controls ML20210N6401999-08-0303 August 1999 Informs That Eighteeen Identified Penetrations Will Be Restored to Conformance with Licensing Requirements Prior to Restart from RFO10,scheduled for Fall 1999,per GL 96-06. Example of Piping Analysis Being Performed,Encl ML20210L1461999-08-0303 August 1999 Informs That NRC Plans to Administer Gfes of Written Operator Licensing Exam on 991006.Requests Submittal of Ltr Identifying Individuals Taking Exam,Personnel Allowed Access to Exams & Mailing Address for Exams ML20210K1951999-07-30030 July 1999 Forwards Insp Rept 50-416/99-03 on 990405-08 & 0510-11.No Violations Identified ML20211K7491999-07-30030 July 1999 Forwards Ltr Rept Documenting Work Completed Under JCN-W6095,analyses Performed at Ineel to Calculate Minimum Time to Fuel Pin Failure in Boiling Water Reactors (BWR) ML20210K6661999-07-29029 July 1999 Forwards Fitness for Duty Program Performance six-month Rept for Period Covering Jan-June 1999,per 10CFR26.71 ML20210F3591999-07-26026 July 1999 Forwards Proprietary Version & Redacted Version of Wyle Test Rept M-J5.08-Q1-45161-0-8.0-1-0,re Pressure Locking & Thermal Binding Test Program.Proprietary Version Withheld ML20210E3251999-07-23023 July 1999 Forwards Insp Rept 50-416/99-07 on 990622-25.No Violations Noted.Emergency Plan & Procedures During Biennial Emergency Preparedness Exercise Was Conducted ML20210D2401999-07-21021 July 1999 Informs of Resignation of Operator WE Griffith,License OP-20806-1,from Entergy Operations,Inc ML20209J0311999-07-16016 July 1999 Forwards Proprietary Info Supporting Review of Generic Alternate Source Term Request.Proprietary Info Withheld Per 10CFR2.790 ML20209G4791999-07-15015 July 1999 Forwards Proposed Emergency Plan Change as Addendum to Changes Previously Submitted Via GNRO-98/00028 & GNRO-99/00007,for NRC Review & Approval ML20210B1031999-07-15015 July 1999 Forwards Insp Rept 50-416/99-08 on 990502-0612.Determined That Three Severity Level IV Violations Occurred & Being Treated as Noncited Violations ML20210H3211999-07-14014 July 1999 Forwards Proprietary Info Supporting Review of 970506 Submittal of BWROG Rept, Prediction of Onset of Fission Gas Release from Fuel in Generic Bwr. Proprietary Info Withheld Per 10CFR2.790 ML20209D7511999-07-0909 July 1999 Responds to RAI on GL 92-01,rev 1,suppl 1, Rv Structural Integrity. as Result of NRC Review of Util Responses,Info Revised in Rvid & Rvid Version 2 Will Be Released ML20209D7671999-07-0101 July 1999 Submits Response to Violations Noted in Insp Rept 50-416/99-02 on 990222-26 & 0308-12.Corrective Actions: Contractor Performance Has Been re-evaluated in Regards to UFSAR Reviews ML20196K4901999-07-0101 July 1999 Discusses Relief Requests PRR-E12-01,PRR-E21-01,PRR-E22-01, PRR-P75-01,PRR-P81-01,VRR-B21-01,VRR-B21-02,VRR-E38-01 & VRR-E51-01 Submitted by EOI on 971126 & 990218.SE Accepting Alternatives Proposed by Util Encl ML20196J5711999-06-30030 June 1999 Advises That Versions of Submitted Info in 990506 Application & Affidavit, Re Proposed Amend to Revise Ts,Marked Proprietary Will Be Withheld from Public Disclosure,Per 10CFR2.790(b)(5) & Section 103(b) of AEA 1999-09-09
[Table view] Category:INCOMING CORRESPONDENCE
MONTHYEARML20216J8891999-10-0404 October 1999 Forwards Details of Existing Procedural Guidance & Planned Administrative Controls.Util Respectfully Requests NRC Review & Approval of Changes by 991020.Date Will Permit to Implement Changes & Realize Full Benefit During Refueling ML20216J7101999-09-26026 September 1999 Forwards NRC Form 536,in Response to NRC Administrative Ltr 99-03, Preparation & Scheduling of Operator License Examinations ML20216J8141999-09-26026 September 1999 Forwards Proprietary Renewal Applications for Licensed Operators for Wk Gordon & SA Elliott at Grand Gulf Nuclear Station.Proprietary Info Withheld ML20211Q4861999-09-0808 September 1999 Informs That Util Has Discovered Dose Calculation Utilized non-conservative Geometry Factor for Parameter.Calculation Error Being Evaluated in Accordance with Corrective Action Program ML20211P4121999-09-0707 September 1999 Requests NRC Staff Review & Approval of Integrated Nuclear Security Plan (Insp) & Integrated Security Training & Qualification Plan (Ist&Q), for Use by All Entergy Operations,Inc.Encl Withheld,Per 10CFR2.790(d) ML20211K6061999-08-31031 August 1999 Informs That Plant Has No Candidates to Take 991006 Generic Fundamentals Exam ML20211K5641999-08-31031 August 1999 Forwards Rev 39 to Grand Gulf Nuclear Station Emergency Plan Non-Safety Related, IAW 10CFR50,App E,Section V. Changes Do Not Decrease Effectiveness of Plan & Continues to Meets Stds of 10CFR50.47(b) & Requirements of App E ML20211C4381999-08-20020 August 1999 Forwards Rev 31 to Physical Security Plan for Protection of Grand Gulf Nuclear Station,Iaw 10CFR50.54(p).Util Has Determined That Rev Does Not Decrease Effectiveness of Plan. Encl Withheld,Per 10CFR73.21 ML20211C5101999-08-19019 August 1999 Forwards Certified Copies of Liability Insurance Policy Endorsements Issued in First Half of 1999 for Each Entergy Operations,Inc Nuclear Unit,Per 10CFR140.15 ML20211B3761999-08-16016 August 1999 Submits Voluntary Response to NRC AL 99-02, Operating Reactor Licensing Actions Estimates, for Fys 2000 & 2001, ML20211A9481999-08-12012 August 1999 Informs of Completion of Analysis of Heat Transfer in Cooler During Fan Coast Down & Concludes That Potential Exists for Steam Foundation,Under Conditions Where Dcw Sys Flow Is Lost Prior to Full Isolation Valve Closure ML20210N6401999-08-0303 August 1999 Informs That Eighteeen Identified Penetrations Will Be Restored to Conformance with Licensing Requirements Prior to Restart from RFO10,scheduled for Fall 1999,per GL 96-06. Example of Piping Analysis Being Performed,Encl ML20211K7491999-07-30030 July 1999 Forwards Ltr Rept Documenting Work Completed Under JCN-W6095,analyses Performed at Ineel to Calculate Minimum Time to Fuel Pin Failure in Boiling Water Reactors (BWR) ML20210K6661999-07-29029 July 1999 Forwards Fitness for Duty Program Performance six-month Rept for Period Covering Jan-June 1999,per 10CFR26.71 ML20210F3591999-07-26026 July 1999 Forwards Proprietary Version & Redacted Version of Wyle Test Rept M-J5.08-Q1-45161-0-8.0-1-0,re Pressure Locking & Thermal Binding Test Program.Proprietary Version Withheld ML20210D2401999-07-21021 July 1999 Informs of Resignation of Operator WE Griffith,License OP-20806-1,from Entergy Operations,Inc ML20209J0311999-07-16016 July 1999 Forwards Proprietary Info Supporting Review of Generic Alternate Source Term Request.Proprietary Info Withheld Per 10CFR2.790 ML20209G4791999-07-15015 July 1999 Forwards Proposed Emergency Plan Change as Addendum to Changes Previously Submitted Via GNRO-98/00028 & GNRO-99/00007,for NRC Review & Approval ML20210H3211999-07-14014 July 1999 Forwards Proprietary Info Supporting Review of 970506 Submittal of BWROG Rept, Prediction of Onset of Fission Gas Release from Fuel in Generic Bwr. Proprietary Info Withheld Per 10CFR2.790 ML20209D7671999-07-0101 July 1999 Submits Response to Violations Noted in Insp Rept 50-416/99-02 on 990222-26 & 0308-12.Corrective Actions: Contractor Performance Has Been re-evaluated in Regards to UFSAR Reviews ML20209B6081999-06-30030 June 1999 Submits Response to NRC GL 98-01,Suppl 1, Y2K Readiness of Computer Sys at Nuclear Power Plants. Disclosure Encl ML20195J6351999-06-16016 June 1999 Forwards Addendum to Rev 30 of GGNS Physical Security Plan IAW 10CFR50.54(p).Addendum Is Submitted to Announce Relocation/Reconfiguration of Plant Central & Secondary Alarm Station Facilities.Rev Withheld,Per 10CFR73.21 ML20195G0281999-06-0909 June 1999 Submits Summary on Resolution of GL 96-06 Re Eighteen Penetrations Previously Identified as Being Potentially Susceptible to Overpressurization ML20207F5041999-06-0202 June 1999 Forwards Updated Medical Rept IAW License Condition 3 for DA Killingsworth License OP-20942-1.Without Encls ML20206P2981999-05-13013 May 1999 Forwards Responses to RAI Re GL 96-05, Periodic Verification of Design-Basis Capability of Safety-Related Movs, Cancelling 990402 Submittal ML20206N1921999-05-10010 May 1999 Provides Revised Attachment 2 for Alternative Request IWE-02,originally Submitted 990429 Re Bolt Torque or Tension Testing of Class Mc pressure-retaining Bolting as Specified in Item 8.20 of Article IWE-2500,Table IWE-2500-1 ML20206J0941999-05-0404 May 1999 Forwards Proprietary & Redacted ME-98-001-00,both Entitled, Pressure Locking & Thermal Binding Test Program on Two Gate Valves with Limitorque Actuators. Rept ME-98-002-00 Re Flexible Wedge Gate Valves,Encl.Proprietary Rept Withheld ML20206E7811999-04-29029 April 1999 Proposes Alternatives to Requirements of ASME B&PV Code Section XI,1992 Edition,1992 Addenda,As Listed.Approval of Alternative Request on or Before 990915,requested ML20206D8171999-04-29029 April 1999 Informs NRC of Results of Plant Improvement Considerations Identified in GGNS Ipe,As Requested in NRC . Licensee Found Efforts Have Minimized Extent of Radiological Release in Unlikely Event That Severe Accident Occurred ML20206D7281999-04-28028 April 1999 Forwards South Mississippi Electric Power Association 1998 Annual Rept, Per 10CFR50.71(b).Licensee Will Submit 1998 Annual Repts for System Energy Resources,Inc,Entergy Mississippi,Inc & EOI as Part of Entergy Corp Annual Rept ML20206C9551999-04-22022 April 1999 Forwards 1999 Biennial Emergency Preparedness Exercise Scenario. Without Encl ML20205M1311999-04-0202 April 1999 Forwards Response to RAI Re GL 96-05, Periodic Verification of Design-Basis Capability of Safety-Related Motor-Operated Valves. Info Was Discussed During Conference Call with NRC on 990126.Wyle Position Paper Encl.Subj Paper Withheld ML20205H5861999-04-0101 April 1999 Requests Relief from ASME B&PV Code,Section XI for Period of Time That Temporary non-code Repair Was in Effect,Per 10CFR50.55a(g)(5)(iii) ML20205F1781999-03-31031 March 1999 Forwards Consolidated Entergy Submittal to Document Primary & Excess Property Damage Insurance Coverage for Nuclear Sites of Entergy Operations,Inc,Per 10CFR50.54(w)(3) ML20196K7101999-03-26026 March 1999 Submits Reporting & Recordkeeping for Decommissioning Planning,Per 10CFR50.75(f)(1) ML20205A6511999-03-25025 March 1999 Responds to NRC Re Violations Noted in Insp Rept 50-416/99-01 on 990201-05.Corrective Actions:Program Will Be Implemented to Ensure Accessible Areas with Radiation Levels Greater than 1000 Mrem/H ML20204E7391999-03-15015 March 1999 Forwards Objectives for June 1999 Emergency Preparedness Exercise for Plant.Without Encl ML20207H9291999-03-0404 March 1999 Submits Update to Original Certification of Grand Gulf Nuclear Station Simulation Facility IAW Requirements of 10CFR55.45(b)(5) ML20207E3081999-03-0303 March 1999 Informs That GGNS Severe Accident Mgt Implementation Was Completed on 981223.Effort Was Worthwhile & Station Ability to Respond & Mitigate Events That May Lead to Core Melt Has Been Enhanced ML20207E3221999-03-0303 March 1999 Notifies of Change in Status of Mj Ellis,License SOP-43846. Conditional License Requested to Accommodate Medical Condition.Revised NRC Form 396 with Supporting Medical Evidence Attached.Without Encls ML20207A8161999-02-24024 February 1999 Forwards 1998 Annual Operating Rept for Ggns,Unit 1. Listed Attachments Are Encl ML20207A9901999-02-24024 February 1999 Informs That Util Has No Candidates from GGNS to Nominate for Participation in Planned Gfes,Scheduled for 990407 ML20203A1551999-02-0101 February 1999 Forwards Grand Gulf Nuclear Station Fitness for Duty Program Performance six-month Rept for Reporting Period 980701-981231 ML20202G0791999-01-26026 January 1999 Informs That He Mcknight Has Been Permanently Reassigned from Position Requiring License to Perform Assigned Duties. License Is No Longer Needed,Effective 981231 ML20199K4151999-01-20020 January 1999 Forwards Proposed Addendum to Emergency Plan Changes Previously Submitted Via GNRO-98/00028 for NRC Review & Approval as Required by 10CFR50.54(q) & 50.4 ML20199K6771999-01-14014 January 1999 Provides Notification of Planned ERDS Software Change Scheduled to Take Place on 990215 ML20199D8811999-01-11011 January 1999 Submits Response to SE JOG Program on Periodic Verification of motor-operated Valves,In Response to GL 96-05 ML20199D9521999-01-0808 January 1999 Informs That CE Cresap,License SOP-4220-4,has Been Permanently Reassigned from Position Requiring License & No Longer Has Need for License,Per 10CFR50.74 ML20199A6081999-01-0606 January 1999 Submits List of Plant Info Brochures Disseminated Annually to Public & List of Updated State &/Or Local Emergency Plan Info,Per NRC Administrative Ltr 94-07, Distribution of Site-Specific & State Emergency Planning Info ML20202B7531998-12-21021 December 1998 Submits Ltr Confirming Discussion with J Tapia,Documenting Extension for Response to NOV 50-416/98-13.Util Response Will Be Submitted by 990212 1999-09-08
[Table view] Category:LEGAL/LAW FIRM TO NRC
MONTHYEARML19354E4191990-01-25025 January 1990 Comments Re Issuance of OL Amends & Proposed NSHC Determination Re Transfer of Operational Mgt Control of Plants & Views on anti-trust Issues Re Application for Amend for Plants ML19332D8511989-11-30030 November 1989 Forwards Antitrust Comments W/Exhibits & One Copy of Comments Sans Exhibits of Cities of Benton,Conway,North Little Rock,Osceola,Prescott & West Memphis,Ak & Farmers Electric Cooperative Corp ML19325E3711989-10-30030 October 1989 Forwards 891027 Ltr to Counsel for NRC for Filing on Appropriate Dockets & Legal Issues Re Antitrust Aspect of NRC Review of Consolidation of License Amend Application ML19325E3741989-10-27027 October 1989 Lists Three Legal Issues Re Antitrust Aspects of NRC Review of Consolidation of License Amend Application for Facilities.Licensee Supplemental Info Filed W/Nrr ML20236F1731987-10-29029 October 1987 Forwards Fee for Settlement Agreement Executed by Sys Energy Resources,Inc & NRC on 871022.Receipt Requested ML20198C4521985-11-0808 November 1985 Requests Issuance of in Furtherance Certification by 851115 in Order to Permit Financing of Ownership Interest of South Mississippi Electric Power Assoc in Pollution Control Facilities.Related Info Encl ML20138L5251985-10-30030 October 1985 Requests Certification of Pollution Control Facilities Being Financed by Claiborne County,Ms Pollution Control Revenue Bonds in Nov 1985.Facilities Financed by Previous Series of Bonds Certified in 1983 & 1984 ML20094A2301984-11-0202 November 1984 Requests That NRC Certify That Pollution Control Facilities Being Financed in Furtherance of Abatement or Control of Water Pollution,Atmospheric Pollutants or Contaminants ML20094A0251984-08-0101 August 1984 Informs That Discovery Requests Not Received from Jacksonians United for Livable Energy Policies,Per ASLB 840423 Order.Intervenor Withdrawing Request for Hearing. Related Correspondence ML20093L3761984-07-30030 July 1984 Responds to Wj Guste Re Intention to File Petition to Intervene & Request for Hearing.Request for Hearing Opposed as Being Extraordinarily Late.No Justification Shown ML20197H4571984-06-14014 June 1984 Requests That City of New Orleans,La Be Added to Svc List for Substantive Orders & Notices of Opportunity for Hearing for Listed Dockets.Related Correspondence ML20084R0841984-05-17017 May 1984 Informs of Intent to File Motion for Reconsideration W/Aslb as to 840423 Decision Granting Jacksonians United for Liveable Energy Policies Intervention Admitting Two Contentions & Motion to Certify ML20080Q4231984-02-22022 February 1984 Forwards Corrected 840221 Answer to Jacksonians United for Livable Energy Policies Request for Hearing & Petition for Leave to Intervene ML20083C3761983-09-16016 September 1983 Forwards Suggested Form of Certificate for Design Control of Water & Atmospheric Pollutants or Contaminants.Claiborne County 830620 Authorization for Filing of Petition for Issuance of Pollution Control Revenue Bonds Encl ML20076N1671983-07-19019 July 1983 Forwards Interconnection Agreement Between Util & FERC to Resolve Violations of Antitrust License Conditions. Resolutions to Other Issues Also Provided ML20069D8491982-09-20020 September 1982 Opposes State of La Request for Extension of Time to File Reply to ASLB 820831 Order to Respond to Arguments.Extension Would Delay Issuance of Full Term OL ML20065A9321982-09-10010 September 1982 Forwards Us Court of Appeals,Dc Circuit 820901 Order in NRDC Vs Nrc,Granting Intervenor & Respondents Request for Stay of Mandate.Order Will Stay Effect of Decision Until Final Disposition by Supreme Court.Related Correspondence ML20054F4131982-06-0202 June 1982 Confirms Increased Limit of Liability of Nelia Policy NF-257,effective 820605 & Advises of Limit of Liability for Maelu Policy MF-106 ML20010J1941981-09-22022 September 1981 Responds on Behalf of Municipal Energy Agency of Ms to NRC Request for Info Re Compliance Status of Antitrust License Conditions Cited in 800529 Notice of Violation.Negotiations W/Util Continue ML19309C8941980-04-0404 April 1980 Responds to TB Conner 800312 Ltr to NRC Re Interconnection Agreement.Absence of Svc Schedule & Execution of Gulf States Util Co Indicate Agreement Not Intended to Be Operative. Requests Resolution Before OL Stage ML20126B6171980-03-12012 March 1980 Discusses Issue of Util Compliance W/Conditions of Cps.Util Notified Both Clarksdale & Greenwood on 800311 That Power Would Be Transmitted.Believes Antitrust Hearing Unnecessary ML19296C6141980-02-22022 February 1980 Responds to Mcdiarmid 800212 Ltr for Municipal Energy Agency of Ms (Meam) Which Implys That Ms Power & Light Must Arrange W/Other Utils to Have Power Wheeled to Meam Members. Forwards 790619 Ltr Denying Charges ML19296B0441980-02-12012 February 1980 Discusses Util 791210 Ltr of Concurrence W/Wheeling Provision Sought by Municipal Energy Agency of Ms.La Power & Light 800205 Ltr Re Compensation for Use of Transmission Facilities Encl ML19257B5591980-01-11011 January 1980 Discusses Interconnection Agreement Between Util & Gulf States Util to Permit Transaction Between Lafayette,La & Ms Energy Agency Members ML20125B5881979-12-10010 December 1979 Requests That DOJ Be Asked to Reconsider Recommendations to Show Cause for Compliance W/License Conditions,In Light of New Info.Forwards Settlement Agreement Between Intervenors & Other Supporting Documentation ML19261E2211979-06-29029 June 1979 Reiterates Municipal Energy Agency of Ms Opposition to Allegations Made by Atty for Ms Power & Light Re Util 790110 & 0312 Ltrs.Supporting Documentation ML19270H0231979-06-19019 June 1979 Requests Denial of Intervenor Municipal Energy Agency of Ms 790529 Petition to Show Cause.Util & Affiliate Middle South Energy,Inc Have Complied W/License Conditions of CP ML20114E6941979-05-29029 May 1979 Forwards Petition by Municipal Energy Agency of Ms Requesting That NRC Commence Proceedings,Per 10CFR2.202,to Require Util to Comply W/Antitrust Conditions of Facility License ML19259B9451979-05-29029 May 1979 Municipal Energy Agency of Ms Requests Commencement of Proceedings to Require Util to Comply W/Cp License Conditions Re Interconnect Agreement.Related Correspondence W/Doj Encl ML19249E4981978-07-0707 July 1978 Confirms Info Contained in Communications Section of Application for Licenses That RB Mcgehee Should Be Substituted for Rc Travis as Recipient for Correspondence Re Facility Proceedings 1990-01-25
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LAW OFFICES GEORGE SPIEGEL P C. SPIEGEL & McDI ARMin BO*4NIE S. BLAIR ROBERT C. MCDI ARMID ROBERT HARLEY BEAR SANDRA J. STREBEL 2600 VIRGINIA AVENUE N.W. THO M A.' C. TRAUG E R ROBERT A JABLON JOHN Me *HAEL ADRAGNA WASHINGTON. D C. 20037 CYNTHIA 3. BOGORAD JAMES N HORWOOD ALAN J. ROTH TELEPHONE (202) 333-4500 G ARY J. % !WELL FR ANCES E. FRANCIS M ARC R. 5 OIRIER DANIEL 1. DAviDSON TELECOPIER (202) 333-2974 M ARTA A. M ANILDI THOMAS N MCHUGH.JR JOSEPH L VAN FiTON DANIEL J. GUTTMAN PETE R K. M ATT ,
DAVID R. STR AUS January 11, 1980 Mr. Harold Denton Director Of fice of Nuclear Reactor Regulation U.S. Nuclear Regulatory Commission Washing ton , D.C . 20555 Donald L. Flexner, Esq. ,
.- 4 Assistant Attorney General 1 / 4 2.10 m <
U.S. Department of Justice iIUO IO7 Washing ton , D.C . 20530 In The Matter of Mississippi Power & '
Light Company, Grand Gulf Nuclear Station Numbers 1 and 2, Docke t Nos. 50-416A and 50-417A. _
Gentlemen:
We are in receipt of a copy of a letter dated December 10, 1979, addressed to you from counsel for Mississippi Power & Light Company ("MP&L"), the Applicant in the above-captioned proceeding. Tha t letter purports to respond to the Department's letter of November 21, 1979, to the Nuclear Regulatory Commission. MP&L's letter represents that Condition 5 (wheeling of culk power) has been satisfied by a settlement agreement entered into in FERC Docket Nos.
ER78-583 and ER78-584. The Municipal Energy Agency of Mississippi ("MEAM") had originally hoped that this would be so. With this in mind , the Cities had accepted the represen-tations of MP&L in the settlement negotiations that Section 50.10 of the Service Schedule E quoted at page 2-3 of MP&L's December 10 letter would, as a practical matter , be used to comply. It may be noted that that Section 50.10 obligates MP&L to transmit from any entity with which MP&L nas an interconnection agreement. MEAM had accepted MP&L's repre-sentation that MP&L would work expeditiously to enter into W
8001170404' S 'l I
'I
Mr. Harold Denton Donald L. Flexner, Esq. January 11, 1980 an interconnection agreement with Gulf States Utilities which would permit the trancaction between Laf ayette , Louis ian a ,
and certain of MEAM's members which has oeen stalled for well ,
over a year, to take place on reasonable terms . Un f or tu-nately, however, this belief appears to have been misplaced.
MP&L, in its December 10 letter, argues that nothing in Condition 5 of the construction permit requires MP&L to negotiate with another utility in order to reach an interconnection agreement to benefit MEAM or its members. It may be noted that Condition 5 requires MP&L to transmit from those utilities "to which licensees may be interconnected in the future as well as those that are now interconnected."
(Emphasis added). Condition 5 does not even mention an interconnection agreement, or in any way limit MP&L's obliga-tion to transmit to entities with which it has an intercon-nection agreement. Condition 5 re f e rs to interconnections, rather than interconnection agreements. MP&L has long had and now has an interconnection with Gulf States.
MEAM has long been quite unsure what purpose was supposed to be served by MP&L's insistence that it have an interconnection agreement with Gulf States before it could .
begin to transmit the power which Gulf States has been willing to deliver to it on behalf of MEAM's members. MP&L has inferred to us that there must be a provision for accounting for inadvertent flows, or payment for excess flows , altnough it has never been able to clarify why this should be so.
MP&L, in its December 10 letter, attaches an Oc tober 16, 1979, letter from Norris Stampley, Vice President of MP&L, to Gulf States , asserting that MP&L is willing to execute an agreement with Gulf States. Un fo r tuna tely , the re seems to be some confusion. On November 20, 1979, there was a meeting between MEAM members and MP&L, called to deal with Joint planning for the future. We attach MEAM letters of November 21, and December 20, 1979, and a letter from Mr. Stampley to MEAM of December 4. While those letters reflect a disagreement upon the exact wording of certain con-versations that had transpired, it seems reasonably clear that Mr. Stampley suggested that there was a real possibility that MP&L's affiliate, Louisiana Power & Light, would go to court to block any action which might ultimately oe taken for transmission between Gulf States and MP&L, and suggested further that MEAM should agree to pay UP&L an additional transmission fee, the necessity for wnich we thought we had
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1766.'190
Mr. Harold Denton Donald L. Flexner, Esq. January 11, 1980 eliminated in the settlement at the FERC, rather than wait for MP&L and Gulf States to reach agreement. We attach as well a copy of a letter of December 14, 1979, from A. E.
Naylor, Manager--Power Interconnections for Gulf States Utilities, to Mr. Stampley of MP&L which certainly appears to suggest that MP&L has declined to make available any service schedules to Gulf States in the interconnection agreement which MP&L now asserts it had proposed, apparently a substan-tial change from interconnection agreements previously pro-posed and agreed to by Gulf States.
It also appears from this correspondence that MP&L has proposed to Gulf States an Interconnection Agreement without service schedules, on the assertion that none are needed. If no service schedules are needed, of course, the MEAM view that no interconnection agreement is required for the needed transmission to take place is clearly established as correct. No interconnection agreement could be entered into without service schedules to permit accounting to take place. In sum, it seems that Condition 5 is plainly not yet satisfied.
MP&L's December 10 letter again asserts that Condition 4, access to the Grand Gulf nuclear units, is also '
satisfied. Apparently, MP&L believes that entities which are members of MEAM should agree to pay millions of dollars without any idea whatever of the terms upon which such dollars would be paid or what they would get for it. No offer has yet been made to MEAM, or its members, in spite of continued requests for an offer. While two years , as suggested by MP&L (December 10 letter, p. 5), may be ample time to evaluate an offer of participation and make a firm decision based thereon, the offer which is required must include the terms upon which MP&L proposes to sell and operate that unit, and none of those terms have yet been made known to MEAM.
If MEAM's objections to MP&L's lack of conpliance with Conditions 4 and 5 are resolved, MEAM does not contend that MP&L is otherwise failing to comply with License Condition 2 (Interconnection and Coordination of Reserves),
although MEAM does contend that MP&L has declined to sell power to generating cities within its boundaries at the sane or similar terms and conditions as those that are available to cities that are not generating in competition with it, in violation of Condition 6.
1766 l9i
Mr. Harold Denton Donald L. Flexner, Esq. January 11, 1980 MEAM hopes that it will be possible to resolve these matters expeditiously. Time is running on these matters; the ef fects of the failure of MP&L to comply with .
these Conditions is now significant and appears likely to become more so. We regret to advise you that we believe the Antitrust Division's letter of Movember 21, still to be wholly in point.
Yours very truly,
/
Robert C. McDiarmid Enclosures cc: Troy B. Conner, Jr., Esq.
Frederick Chanania, Esq.
Richard M. Merriman, Esq.
Janet R. Urban, Esq. -
David R. Hunt, Esq.
Mr. Marvin Carraway Mr. C. M. Matthews RCMcD:jbs O
1766 'l92
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' Mr. Norris L. Stampley Vice President Mississippi Power & Light Ccmpany P. O . Box 1640 i Jackscn, Mississippi 39205 Cear Norris: ..
l am surprised by a couple of things in your Oecember a letter. ,
-(' As I sV_.As in my letter, we do hope that continued joint planning wi!! be productive, but I am not sure I would describe our November 20 meeting
- r. exactly as you have.
More importantly, I understcod you us say that you had given Gulf States an intercennecticn agreement draft wim a transmission service schedule similar to mose you now have wim the Cities and SMEPA. We
' have received a copy of a letter frem Al Naylor to you which seems to state e that you have declined to offer service schedules necessary for an inter-
~ -
c -- connection agreement and declined 'to' transmit for Cuff' States.~- Frankly;-
' I don't see how we or anyone else could enter into an interconnection agreement pursuant to which energy will ficw wimout scme prevision for
.- acccunting and payment. We all mought you had agreed at the FERC settle-
> ment meetings that MPSL would work in good faith toward a rapid interconnection
, agreement with Culf States wnich would permit us to obtain the Lafayette energy and capacity we need withcut running the risk of the contractual and
; legal pecblems everybody who deals with~ LPEL seems to wind up with. 1 While you carefully note in your let:Le that you did not state '
mat you had knowledge that LPSL would go to ccurt if we bought power celivered by Culf States to you, ycu certainly left that as a very stecc.g ,
impression at cur meeting of November 20. We do r.ot acpreciate your suggestico hat we had the contractual means of cocaining Lafayette power ${
using the existing contracts of CSU, LPsl and MPSL. If any entanglements with Lost recuire payments of high lawyer fees to ce(end ycur rights tefere ,
you are through, me savings would be eaten up, even if there were savings _
1766 193
Mr. Norris L. Stampley Page Two December 20, 1979 after paying the extra, unnecessary transmission charge. In light of LPT,L's '
position, which we understand to be beyorx1 that claimed by anyone else in the Southwest Power Pool area, I think you can understand why none of us wish to get involved in dealings with them.
We certainly would appreciate your clarifying for us the difference in viewpoints appearing in your letter and in tne letter sent you by Al Naylor.
Yours very truly, Marvin L. Carraway Secretary-Treasurer Municipal Energy Agency of Mississippi cc: Mr. C. M. Mathews Vica Chairman - MEAM Mr. Charles Surchfield Ccmmissioner - MEAM Mr. Al Naylor Manager of Planning - CSU
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1766'l94
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@l GULF STATES UTILITIES COMPANY POST CP P I CC SOK 2951
- 8 EA UM QN ?, TEXA S 77704 A REA COQE 7 1 3 838 6631 December 14, 1979 Mr. N. L. Stampley, Vice President Mississippi Power & LigP Company P. O. Box 1640 Jackson, Mississippi 39205
Dear Norris:
As you are aware, we have been negotiating for months upon an appropriate interconnection agreement between our companies.
Early in the year we exchanged drafts. In May we submitted to you a revised draft which we thought contained the significant changes yau had requested. At that time we tnought the agreement was substantially in final form for execution.
In mid-October you submitted to us a totally new draft of '
a proposed interconnection agreement, stating that it was adapted from one you had recently executed. Since your recent draft is significantly different in important respects from the previous drafts, we have tried to reconcile the differences, hopefully so as to pernit each of us to be consistent with respect to the services we respectively offer.
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? With this in mind, we have taken your draft and made a few fd,.
proposed revisions to it. Attached is a copy of your draft con-ist;. taining our proposed revisions. In the areas in which our respec-N tive positions differ materially or which are not covered in your proposed form of agreement, we suggest that each company incorporate its provisions into its service schedules.
For instance, we have provisions in our interconnection agreements regarding continuity of service and billing and settle-ment which are either not covered by or differ from the provisions in your proposed agreement. We suggest that our standard provisions be incorporated in One GSU service schedules attached to the inter-connection agreement, and you incorporate your standard provisions in your service schedule. This would nopefully allow eacn of us to be consistent in imposing -he same provisions with respect to services offered by each of us within our own service areas. If -
this sounds like an acceptable alternative, please let me know and -
we will promptly submit to you a proposed GSU ransU:issiq.c service 1766"195'
e.
- Mr. N. L. Stampley December 14, 1979 schedule with our conditions included in it. We will also make the appropriate modifications, as outlined above, to our other service schedules which were included in the May draft. We would expect you to add the billing and settlement provisions which were contained in your interconnection agreement to your service schedules.
We have discussed with you our need for transmission service '
on your system. This letter constitutes our formal request that transmission service be made available to us on substantially the same basis as that we understand you are now offering to others. For this reason, we expect the interconnection agreement at least t; include initially a service senedule providing such transmission service.
Please let us have your comments as soon as possible.
Sincerely, y.1
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A. E. Naylor Manager-Power Interconnections AEN:am Attachment -
cc: vffr. C. M. Mathews
}' ice Chairman - MEAM Mr. Charles Burchfield Cc:miissioner - MEAM
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Mr. Jack Davey 9:'.7
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Vice President & Chief Engineer - LP&L
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Mr. John F. Vogt, Jr.
Vice President - Middle South Services Mr. Marvin L. Carraway Secretary-Treasurer - MEAti 1766 196-
Mr. C. M. a t h ews
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"arvin L. Carrcway Secretary-Treasurer Municipal Energy Agency of Mississippi
?as: Office Dcx 366 Greenwood, MS 38930
Dear Marvin:
Thanks for your le::ar of hovember 21, 1979 which outlined your understanding of sc e matters discussed in our meeting en Ravenber 20. .
I cgree that the Mcvcaber 20 .ceting was productive and we icok for-eard to con:inued joint planning a; ::gether >e seek to 7.c e :
the energy needs of wasturn Mississippi. The meeting was arranged for the specific purpose of join: 01anning for future -
generation addi:icns, ui:h specific reference to our future coal-fired units," and the f r2:evor?. . as laid for :his activi: . ,
In addition to the Ica; ranga genera tica pisaning, you becught up you. the rat:cr of :ransmission of pow.:r fr:: Lafaye::e, Lcuisiana to You are correc: in stating that !?&L is ready to ::ansmit power from our interconnection with Gulf S:ates (GSU) to you as scon ac we executc and 'ile un interconnectien agraecent and CSU advises that ti.sy vill deliver the pcuer to us.
Cur nos: recent suggestion to CSU was ha: :ee sign an intar:onnaction ngree:ent pat:2rned af ter the ene recently entered into with SMEPA, but ta acut any service schedules. Ue have offered to continue negotiations with thcm on a revised agreement eita or without service schedules af ter enecution of such a document. As you stated, we did contact GSU on Cetober 30, 1979 and asked their c00perction in expediting this matter. L.'e again contac:cd them on Novenber 26, 1979 in enis same regard.
I believe ycu have misinterpreted my ccreonts about :he position of 1.PSL relative to power flows from Lafayette to you.
ikw the power f!cus from Lafavette to GSU is no concern of ours.
I d'd state that 1: is y understanding that LPSL believes it vnuld be entitled to renumeration for such transactf ens as they stated in their letter of April 21, 19 7 9 .t o .'r . "a thews . ~
1766'i97'
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# MISSISSIPPI POWER C: LIGHT COMPAfJY ite. Starvin L. Carraway Decccher /., 1979 J Page Two F.ovaver, 1 did not intend to indicate that I had inewledge that thej -ould go to court socking such payment, to speak for the:aceives in thic issue. and LPLL will have I did state that Creenwood and Clar*<: dale had the centractual means of immediately obtaining J
t'.e Lafayette power ucing e::isting centracts of CSU , LP&L and !?SL.
!t is Creem cod and Clarksdale's r.alection to choose a path for
-hich a contract did not but er. i s t , which in itself ccuses a delay, j further.:because
;.rn.saission ore, has thosen to ignore the physical use of the L?SL position. contractual path :iight have per :ittad this will deliver to Clarksdale and Creenuced any power deliverrd its system by any entity for th.tt .
of Clarksde.le and Craen.cood's choice, purpose. 'cvertheless, because g
the residents of Clarksdale f:r nany conths (cinca Augustand Greenvoed =0y havee been deprived 23, 1973) with no o'avious benefit s.
's'c look for rard to further joint planning witn the Citice .
Sincerely,
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Mr. Charles Burchfield Ccamissionar - ME.ui Mr. Jack Davey Vice President S Chief Engineer - LP1L Mr. Al ';aylor Manager of Planning - CSU
.O 1766 198 -
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4tCMap0 W wtB STER. Ja.. CLamasoaks Mr. Norris L. Stampley Vice President .. N Mississippi Power k Light Company P . O. Box 1640 Jackson, Mississippi 39205
Dear Norris:
We believe our meeting on Tuesday , November 20, 1979, can prove to be productive and we would like to confirm our understanding of the matters discussed. .
As we discussed with you and your planning staff, we need to resclve whatever problem now prevents our consummating the Lafayette, Louisiana transacdon as scon as possible to be better able to project our require-ments. We understand from your ccmments dat you have had no furter contact with Gulf States Unlines since immediately after our last meeting on October 30, 1979. You informed us that the document that you forwardec. to GSU is similar to the filed SMEPA Agteement, dat you have offered GSU de same transmission serv' ice schedule which has been agreed to by the Cities and SMEPA , and that ycu have agreed to enntinue negotiations with GSU for additicnal ser rice schedules as required. You furter suggested, however , that we should go ahead with Louisiana in the Lafayette transaction since we were just marking time and LPLL intended to go to court to obtain ecmpensaticn if power flowed frem Lafayette to de Cities. We understanc dat, while MPsL is prepared to transmit directly from GSU to de Cities ar.d you have stated your desire to conclude negotiations with GSU , it is your view that LPEL believes it would be entitled to some remunera-tion and would go to coart seeking payment and, derefore, we might be better off stardng the transaction immediately by going ahead and making arrangements with LPtL initially. Gf course, you know our position is and always has been that the Lafa'fette transaction should be accomplished widout an'/i nterference by LPLL. We prefer not to have any centract or other dealings with LP1L in dis transaccon and we want to keep te arrangements as simple as possible rader dan complicated.
1766'199'
Mr. Norris L. Stampley Page2 November 21, 1979 We certainly appreciate your willingness to supply us with ecpies of the SMEPA Service Schedules and the pardcipation agreement with the under-standing that they would be used as possible patterns for future agreements witn the Cities.
We look forward to our future meetings concerning our joint planning for the future.
Yours very truly ,
/ l W
f Marvin L. Carrniay Secretary-Treasurer MLC: .
k cc: Mr. C . M . Mathews , Vice Chairman Mr. Charles Burchfield , Commissioner bc:N Mr. Robert C. McDiarmid Mr, David R. Hunt o
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