ML19263D972

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Notice of Deposition of Jr Shreffler for Houston Lighting & Power Co Re Contentions 2 & 3.Forwards Schedule for Deposition
ML19263D972
Person / Time
Site: Allens Creek File:Houston Lighting and Power Company icon.png
Issue date: 03/13/1979
From: Copeland J
BAKER & BOTTS
To:
Shared Package
ML19263D969 List:
References
NUDOCS 7904170128
Download: ML19263D972 (2)


Text

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UNITED STATES OF AMERICA NUCLEAR RE3ULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of S S

HOUSTON LIGHTING & POWER COMPANY S Docket No. 50-466 S

(Allens Creek Nuclear Generating S Station, Unit 1) S NOTICE OF DEPOSITION TO: John R. Shreffler 5014 Braeburn Bellaire, Texas 77401 In accordance with 10 C.F.R. S 2.740(a), you are requested to appear at Baker & Botts, 3000 One Shell Plaza in the city of Houston, Texas, on the 23rd day of March, 1979 at 9:00 o' clock A.M. (and thereafter from day to day, if necessary) to testify on behalf of Houston Lighting & Power Company at the taking of a deposition concerning your Contentions 2 and 3 in the above-entitled action pending before the Atomic Safety and Licensing Board of the Nuclear Regulatory Commission and to bring with you the document (s) or object (s) described in the attached schedule.

Sincerely yours,

.

'-

J Grego[g Kfpelafd tornef f& Houston Lighting &

Power Company BAKER & BOTTS 3000 One Shell Plaza Houston, Texas 77002 7g(ggg [ (713) 229-1234 (2x

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SCHEDULE FOR DEPOSITION

1. All documents which relate to your Contentions 2 and 3 admitted by the Order of the Atomic Safety and Licensing Board on February 9, 1979.

Instructions If you claim that any document requested hereunder is privileged, with respect to each such document, please provide the following:

(a) date; (b) type of document; (c) identity of author and addresses; (d) present location and custodian; (e) any other description necessary to enable the custodian to locate the particular document; (f) the basis for the claimed privilege; and (g) a detailed description of the nature of any judicial protection alleged to be necessary to protect the privilege or confidential nature of any such document.

" Documents" means, without limiting the generality of its meaning, all or original (or copies where originals are unavailable) and non-identical copies (whether different from originals by reason of notation made on such copies or otherwise) of all written, recorded or graphic matter, however produced or reproduced, whether or not now in existence, of correspondence, telegrams, notes or sound recordings of any type of conversation, meeting or con-ference, minutes of directors' or committee meetings, memoranda, inter-office communications, studies, analyses, notes, books, records, reports, summaries and results of investigations and tests, reviews, contracts, agreements, pamphlets, diaries, calendar or diary entries, maps, graphs, charts, statistical records, computer data or papers similar to any of the foregoing, however denominated, including preliminary versions, drafts or revisions of an'; of the foregoing and any supporting, underlying or prep:.ratory material.

" Relating to" neans consist of, refer to, reflect or be in any way legally, logically or factually connected with the matter discussed.