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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20070E4671991-02-26026 February 1991 Comment Opposing Petition for Rulemaking PRM-73-9 Re Upgrading Design Basis Threat for Radiological Sabotage of Nuclear Reactors.Recommends That NRC Deny Petition to Increase Design Basis Threat for Security ML20207C1331986-12-18018 December 1986 Order Terminating CPPR-81 & CPPR-82,per Util 860711 Motion to Withdraw Applications for OLs ML20215E7301986-12-17017 December 1986 Memorandum & Order Authorizing Withdrawal of OL Application & Dismissing OL Proceeding,Per Applicant 860711 Motion. Served on 861218 ML20211L6181986-12-11011 December 1986 Response to Board 861203 Questions Re Util Request to Terminate OL Proceeding ML20211L6391986-12-11011 December 1986 Affidavit of Gb Staley Re Preparation of Answers to Board 861203 Questions on Termination of OL Proceeding. Certificate of Svc Encl ML20215B2071986-12-11011 December 1986 Responds to Questions Posed in ASLBP 861203 Memorandum & Order Re Conversion to gas-fired Facility.Imposition of Conditions on Withdrawal of OL Application Unnecessary. Certificate of Svc & Svc List Encl ML20214Q4431986-12-0303 December 1986 Memorandum & Order Granting Motion to Expedite Completion of Withdrawal Proceedings & Posing Questions to Parties.Served on 861204 ML20214G7941986-11-24024 November 1986 Motion to Expedite Completion of Withdrawal of Licensee OL Application & Terminate Pending OL & CP Mod Proceedings. Certificate of Svc Encl ML20214T7361986-09-26026 September 1986 Memorandum & Order Dismissing OM Proceeding as Moot & Deferring Action on Applicant Motion for Authorization to Withdraw OL Application Pending NRC Preparation of Environ Assessment.Served on 860929 ML20212M7661986-08-25025 August 1986 Response to Util 860711 Motion for Authorization to Withdraw OL Application & for Dismissal of OL & Order of Mod Proceedings.Board Should Hold Motion in Abeyance Pending NRC Review of Stabilization Plan.Certificate of Svc Encl ML20206M8171986-08-15015 August 1986 Response to ASLB 860716 Order Requesting Responses Re Termination of OM Proceeding.Termination of OL Proceeding & Withdrawal of OL Application Requested.Om Proceeding Should Be Considered Moot.Certificate of Svc Encl ML20212B0311986-08-0101 August 1986 Memorandum & Order Withdrawing Retention of Jurisdiction Over Radon Issue Presented in Facility CP Proceeding & Vacating ASLB Partial Initial Decision on Remedial Soils in Consolidated CP Mod & OL Proceeding.Served on 860801 ML20212B0521986-07-31031 July 1986 Order Extending Time Until 860815 for Util & Other Parties to Respond to Questions Posed by 860716 ASLB Order.Time Extended Until 860825 for NRC Response to ASLB Questions & Util Motion.Served on 860801 ML20203F8791986-07-28028 July 1986 Response Supporting Util 860711 Motion for Termination of Appeal Board Jurisdiction Over Proceeding.Certificate of Svc Encl ML20207H6871986-07-22022 July 1986 Motion for Extension Until 860815 to File Responses to Four Questions Re Util Motion to Dismiss OL & OM Proceedings. Certificate of Svc Encl ML20207E2851986-07-16016 July 1986 Order Presenting Questions in Response to Util 860711 Motion to Dismiss OL Proceeding & to Terminate Order of Mod Proceeding.Served on 860717 ML20202G0121986-07-11011 July 1986 Motion for Authorization to Withdraw OL Application & Dismissal of OL & Order of Mod Proceedings ML20202G1201986-07-11011 July 1986 Motion for Termination of Aslab Jurisdiction to Facilitate Termination of Cps,Withdrawal of OL Application & Dismissal of Consolidated OM-OL Proceeding ML20202G1621986-07-11011 July 1986 Notice of Change of Address for Washington Ofc of Isham, Lincoln & Beale,Attys for Util.Certificate of Svc Encl ML20202G0491986-07-10010 July 1986 Affidavit of JW Cook Re Conversion of Plant Into combined- cycle,gas-fired Power Plant.Plant Never Operable as Nuclear facility.Nuclear-related Equipment Will Be Sold ML20202G0281986-07-0808 July 1986 Affidavit of Ta Mcnish Re True & Correct Extracts of 860408 & 0618 Minutes of Meetings.Resolutions Recited Therein in Full Force & Effect ML20198J4651986-05-27027 May 1986 Notice of ASLB Reconstitution.C Bechhoefer,Chairman & J Harbour & Ga Linenberger,Members.Served on 860529 ML20198J3861986-05-27027 May 1986 Notice of ASLB Reconstitution.C Bechoefer,Chairman & J Harbour & Ga Linenberger,Members.Served on 860529 ML20137E0041985-11-21021 November 1985 Notice of Appearance in Proceeding ML20137D9651985-11-21021 November 1985 Notice of Withdrawal of Appearance in Proceeding.Certificate of Svc Encl ML20133F6421985-10-0909 October 1985 Notice of Withdrawal of Appearance in Proceeding.Certificate of Svc Encl ML20134N3771985-08-30030 August 1985 Notice of Withdrawal of Appearance in Proceeding.Certificate of Svc Encl DD-84-17, Order Affirming 840724 Director'S Decision DD-84-17 Denying Bp Garde 10CFR2.206 Petition for Action Against Util Re Plant Const.Const Abandoned on 840910.No Further Enforcement Action Required.Served on 8506241985-06-24024 June 1985 Order Affirming 840724 Director'S Decision DD-84-17 Denying Bp Garde 10CFR2.206 Petition for Action Against Util Re Plant Const.Const Abandoned on 840910.No Further Enforcement Action Required.Served on 850624 ML20127N7591985-06-20020 June 1985 Transcript of Commission 850620 Affirmation/Discussion & Vote in Washington,Dc Concerning Denial of 2.206 Petition for Midland plant,SECY-85-60 Concerning Pressurized Thermal Shock Rule & Shoreham Order.Pp 1-4 ML20133D9481985-05-13013 May 1985 Response to Aslab 850423 Order.Aslab Should Cancel OL Application & CPs Because Compliance W/Nrc Basic Requirements Not Met ML20116G5181985-04-29029 April 1985 Response to Memorandum of City & County of Midland,Mi Re ASLB 850405 & 0313 Orders on CP Mod Proceedings.Bechtel Should Not Be Granted Admission to Proceedings ML20115J4351985-04-19019 April 1985 Motion for Leave to Participate as Amicus Curiae,Per Aslab 850313 & 0405 Memoranda & Orders Requesting Response to Questions Re Proceeding ML20115J4751985-04-19019 April 1985 Memorandum in Response to Aslab 850405 Order Re Dismissal of OL Application.Application Neither Abandoned Nor Delayed in Dilutory Manner.Certificate of Svc Encl ML20115J5421985-04-19019 April 1985 City & County of Midland,State of Mi Motion for Leave to Participate as Amicus Curiae in Aslab Request for Responses to Questions Presented in 850313 & 0405 Memoranda Orders. Proof of Svc Encl ML20116G5321985-04-19019 April 1985 Motion to Participate as Amicus Curiae in Resolution of Issue to Involuntary Dismissal of License Application,Per Aslab 850405 Memorandum & Order.Granted for Aslab on 850422. Served on 850429 ML20115J5551985-04-19019 April 1985 City & County of Midland,State of Mi Response to Aslab 850313 Order to File Memoranda Re Whether Aslab Should Vacate ASLB Decision Re Certain Mods to CP Due to Mootness. Proof of Svc Encl ML20115J5501985-04-19019 April 1985 Response Opposing Aslab 850405 Memorandum & Order Re Dismissal of OL Applications.Urges Board to Permit OL Applications to Continue in Suspension Until Applicant Affirmatively Resolves Disposition ML20115J5461985-04-19019 April 1985 Motion to Participate Amici Curiae in Resolution of Issue of Involuntary Dismissal of License Application as Identified in Aslab 850405 Memorandum & Order ML20112J5281985-04-0101 April 1985 Memorandum in Response to Aslab 850313 Order LBP-85-2. Decision Should Not Be Vacated.Ol Should Be Dismissed.Based on Listed Changes,New OL Review Required ML20112J6301985-04-0101 April 1985 Memorandum Requesting Aslab Not Take Any Action to Vacate LBP-85-2 or Dismiss OL Applications,Per 850313 Order,Based on Current Intent to Hold CPs & Attempt to Sell Plant. Certificate of Svc Encl ML20112H0981985-03-27027 March 1985 Response to Aslab 840313 Order Re Whether ASLB Decision to Review Issues in Soils Hearing Appropriate Use of Public Resources.Concurs W/Decision to Remand OL W/Instructions to Dismiss OL Application for Failure to Pursue Soils Issue ML20106F6531985-02-0808 February 1985 Response Opposing Intervenor B Stamiris 841224 Motion for Evidentiary Hearings Re Litigation Between Applicant & Dow Chemical Co.Supporting Documentation & Certificate of Svc Encl ML20106D6631985-02-0808 February 1985 Response Opposing B Stamiris 841224 Pleading Requesting Evidentiary Hearing on Matter Raised in applicant-Dow Chemical Trial & Referral of Certain Matters to Ofc of Investigations.Certificate of Svc Encl ML20101S9421985-02-0101 February 1985 Motion for Extension Until 850306 to File Notice of Appeal of ASLB 850123 Partial Initial Decision.Granted by Aslab on 850201 ML20101S9111985-02-0101 February 1985 Motion for Extension of Time within Which to File Notice of Appeal of ASLB 850123 Partial Initial Decision.Certificate of Svc Encl ML20101F3191984-12-24024 December 1984 Request for Evidentiary Hearings on Matter Raised in CPC-Dow Trial & Referral of Certain Matters to Ofc of Investigations.Certificate of Svc Encl ML20107K8011984-11-0101 November 1984 Affidavit of Jd Selby Re Plans Concerning Facilities.Const Will Be Resumed Only If Proposed by Appropriate Governmental Agencies & Officials & If Funds from Some Other Source Become Available.Related Correspondence ML20106F5241984-10-24024 October 1984 Motion to Request ASLB to Cancel Const License & Application for OL ML20092J0361984-06-22022 June 1984 Reply to NRC Further Supplemental Findings of Fact & Conclusions of Law Re QA ML20092J0241984-06-22022 June 1984 Reply to B Stamiris Second Supplemental Proposed Findings of Fact & Conclusions of Law on QA & Mgt Attitude Issues. Certificate of Svc Encl 1991-02-26
[Table view] Category:PLEADINGS
MONTHYEARML20215B2071986-12-11011 December 1986 Responds to Questions Posed in ASLBP 861203 Memorandum & Order Re Conversion to gas-fired Facility.Imposition of Conditions on Withdrawal of OL Application Unnecessary. Certificate of Svc & Svc List Encl ML20214G7941986-11-24024 November 1986 Motion to Expedite Completion of Withdrawal of Licensee OL Application & Terminate Pending OL & CP Mod Proceedings. Certificate of Svc Encl ML20212M7661986-08-25025 August 1986 Response to Util 860711 Motion for Authorization to Withdraw OL Application & for Dismissal of OL & Order of Mod Proceedings.Board Should Hold Motion in Abeyance Pending NRC Review of Stabilization Plan.Certificate of Svc Encl ML20206M8171986-08-15015 August 1986 Response to ASLB 860716 Order Requesting Responses Re Termination of OM Proceeding.Termination of OL Proceeding & Withdrawal of OL Application Requested.Om Proceeding Should Be Considered Moot.Certificate of Svc Encl ML20203F8791986-07-28028 July 1986 Response Supporting Util 860711 Motion for Termination of Appeal Board Jurisdiction Over Proceeding.Certificate of Svc Encl ML20207H6871986-07-22022 July 1986 Motion for Extension Until 860815 to File Responses to Four Questions Re Util Motion to Dismiss OL & OM Proceedings. Certificate of Svc Encl ML20202G0121986-07-11011 July 1986 Motion for Authorization to Withdraw OL Application & Dismissal of OL & Order of Mod Proceedings ML20202G1201986-07-11011 July 1986 Motion for Termination of Aslab Jurisdiction to Facilitate Termination of Cps,Withdrawal of OL Application & Dismissal of Consolidated OM-OL Proceeding ML20133D9481985-05-13013 May 1985 Response to Aslab 850423 Order.Aslab Should Cancel OL Application & CPs Because Compliance W/Nrc Basic Requirements Not Met ML20116G5181985-04-29029 April 1985 Response to Memorandum of City & County of Midland,Mi Re ASLB 850405 & 0313 Orders on CP Mod Proceedings.Bechtel Should Not Be Granted Admission to Proceedings ML20115J4351985-04-19019 April 1985 Motion for Leave to Participate as Amicus Curiae,Per Aslab 850313 & 0405 Memoranda & Orders Requesting Response to Questions Re Proceeding ML20115J5421985-04-19019 April 1985 City & County of Midland,State of Mi Motion for Leave to Participate as Amicus Curiae in Aslab Request for Responses to Questions Presented in 850313 & 0405 Memoranda Orders. Proof of Svc Encl ML20115J5461985-04-19019 April 1985 Motion to Participate Amici Curiae in Resolution of Issue of Involuntary Dismissal of License Application as Identified in Aslab 850405 Memorandum & Order ML20115J5501985-04-19019 April 1985 Response Opposing Aslab 850405 Memorandum & Order Re Dismissal of OL Applications.Urges Board to Permit OL Applications to Continue in Suspension Until Applicant Affirmatively Resolves Disposition ML20115J5551985-04-19019 April 1985 City & County of Midland,State of Mi Response to Aslab 850313 Order to File Memoranda Re Whether Aslab Should Vacate ASLB Decision Re Certain Mods to CP Due to Mootness. Proof of Svc Encl ML20116G5321985-04-19019 April 1985 Motion to Participate as Amicus Curiae in Resolution of Issue to Involuntary Dismissal of License Application,Per Aslab 850405 Memorandum & Order.Granted for Aslab on 850422. Served on 850429 ML20112J5281985-04-0101 April 1985 Memorandum in Response to Aslab 850313 Order LBP-85-2. Decision Should Not Be Vacated.Ol Should Be Dismissed.Based on Listed Changes,New OL Review Required ML20112J6301985-04-0101 April 1985 Memorandum Requesting Aslab Not Take Any Action to Vacate LBP-85-2 or Dismiss OL Applications,Per 850313 Order,Based on Current Intent to Hold CPs & Attempt to Sell Plant. Certificate of Svc Encl ML20112H0981985-03-27027 March 1985 Response to Aslab 840313 Order Re Whether ASLB Decision to Review Issues in Soils Hearing Appropriate Use of Public Resources.Concurs W/Decision to Remand OL W/Instructions to Dismiss OL Application for Failure to Pursue Soils Issue ML20106D6631985-02-0808 February 1985 Response Opposing B Stamiris 841224 Pleading Requesting Evidentiary Hearing on Matter Raised in applicant-Dow Chemical Trial & Referral of Certain Matters to Ofc of Investigations.Certificate of Svc Encl ML20106F6531985-02-0808 February 1985 Response Opposing Intervenor B Stamiris 841224 Motion for Evidentiary Hearings Re Litigation Between Applicant & Dow Chemical Co.Supporting Documentation & Certificate of Svc Encl ML20101S9111985-02-0101 February 1985 Motion for Extension of Time within Which to File Notice of Appeal of ASLB 850123 Partial Initial Decision.Certificate of Svc Encl ML20101S9421985-02-0101 February 1985 Motion for Extension Until 850306 to File Notice of Appeal of ASLB 850123 Partial Initial Decision.Granted by Aslab on 850201 ML20101F3191984-12-24024 December 1984 Request for Evidentiary Hearings on Matter Raised in CPC-Dow Trial & Referral of Certain Matters to Ofc of Investigations.Certificate of Svc Encl ML20106F5241984-10-24024 October 1984 Motion to Request ASLB to Cancel Const License & Application for OL ML20084J6111984-05-0404 May 1984 Responds Opposing Sinclair 840419 Motion to Request Caseload Forecast Panel Evaluate New Const Completion Schedule.Aslb Should Deny Request for Relief Contained in Motion. Certificate of Svc Encl ML20084H2581984-05-0202 May 1984 Memorandum in Opposition to Govt Accountability Project (Gap) 840417 Petition for Review.Gap Policy on Disclosures to Press Rules Out Genuine Claim That Affidavits Were to Be Maintained in Total Confidence.Certificate of Svc Encl ML20083N6481984-04-17017 April 1984 Petition for Review of Aslab 840330 Decision & Order ALAB-764 Re Subpoenas Directed to Govt Accountability Project.Aslab Erroneous Re Important Questions of Law & Policy.Certificate of Svc Encl ML20087M9821984-03-30030 March 1984 Response to B Stamiris 840304 New Contention Re Transamerica Delaval,Inc Diesel Generators.Bases in Support of Contention Clarified.Certificate of Svc Encl ML20079M6481984-01-23023 January 1984 Request for Leave to File Encl Corrected Copies of Applicant 831209 Memorandum in Opposition to Appeal of Govt Accountability Project.Table of Contents & Table of Authorities Inadvertently Omitted.Certificate of Svc Encl ML20082U0311983-12-0909 December 1983 Memorandum Opposing Govt Accountability Project (Gap) 831021 Appeal of ASLB Order Granting Util Motion to Depose Gap Witnesses.First Amend Argument Inapplicable Since Affiant Identity Will Not Be Disclosed.Certificate of Svc Encl ML20082E1341983-11-22022 November 1983 Request for Extension Until 831209 to File Brief Opposing Appeal of Govt Accountability Project Deponents.Certificate of Svc Encl ML20086A8801983-11-0404 November 1983 Response to Util Motion to Compel & Application for Enforcement of Subpoenas.Submission to Discovery Would Cause Immediate Grave & Irreparable Injury to Organizational Viability.Certificate of Svc Encl.Related Correspondence ML20081F8991983-11-0202 November 1983 Motion to Compel & Application for Enforcement of Subpoenas Against Govt Accountability Project Deponents,L Clark, T Devine,Bp Garde & L Hallberg.Response from Deponents Must Be Filed Before 831110.Certificate of Svc Encl ML20081E8931983-10-31031 October 1983 Reply to Applicant 831014 Response to Second Supplemental Memorandum in Support of B Stamiris 831005 Motion to Litigate Two Dow Issues.Issues Timely Raised & Present New Evidence.Certificate of Svc Encl ML20090H4271983-10-26026 October 1983 Motion to Continue Beginning Date of Hearings Scheduled for 831031 to 3 Days After Date.Extended Hearing Necessary to Allow Time to Receive Responses to 831011 Discovery Requests.W/Certificate of Svc ML20090H3401983-10-25025 October 1983 Motion for Admission Into Evidence of Transcript of Jl Donnell 831015 Deposition.Certificate of Svc Encl ML20081E9481983-10-25025 October 1983 Memorandum in Support of 831021 Appeal of ASLB Orders Granting Issuance of Subpoenas.Subpoenas Violate First Amend Rights.Certificate of Svc Encl ML20081B1751983-10-25025 October 1983 Motion to Compel CPC Responses to 831011 Interrogatories & Request for Production Re Investigation of Alleged Violation.Certificate of Svc Encl ML20081B0681983-10-21021 October 1983 Memorandum in Support of Appeal from ASLB Orders Granting Discovery Against Govt Accountability Project.Subpoenas Violate Common Law of Privilege.Util Showed No Compelling Need for Discovery ML20078K3141983-10-14014 October 1983 Response to B Stamiris 831005 Second Supplemental Memorandum Supporting Dow Issues.Stamiris Fails to Show New & Significant Info Justifying Reopening Record.Certificate of Svc Encl ML20078F5561983-10-0505 October 1983 Second Supplemental Memorandum in Support of Intervenor Stamiris Motion to Litigate Dow Chemical Co Issues Against Applicant.Dow Documents & Complaints Support Litigation of Issues Raised in Original Motion.Certificate of Svc Encl ML20080P9131983-10-0303 October 1983 Motion to Stay Depositions of L Clark,T Devine,Bp Garde & L Hallberg as Directed in ASLB 830831 Order.Depositions Should Be Stayed Pending Review of 830930 Motion for Reconsideration.Certificate of Svc Encl ML20080P1161983-10-0303 October 1983 Errata to 830930 Motion for Reconsideration.Certificate of Svc Encl ML20078A3471983-09-21021 September 1983 Supplemental Memorandum in Support of 830808 Motion to Litigate Dow Issues.Documents Reveal That Util Knew Fuel Load Dates Presented to NRC Jul 1980 - Apr 1983 False. Certificate of Svc Encl ML20077S7161983-09-19019 September 1983 Motion by L Clark,T Devine,Bp Garde & L Hallberg for Extension Until 830930 to File Motion for Reconsideration of ASLB 830831 Order Denying Motion to Quash Subpoenas. Certificate of Svc Encl ML20024E8261983-09-0202 September 1983 Response Opposing M Sinclair Motion to Reconsider Privilege Ruling.Presence of Bechtel Officials at 821124 Meeting Does Not Destroy Privilege.Bechtel & CPC Share Common Legal Interest.Certificate of Svc Encl ML20024E8771983-09-0202 September 1983 Motion to Reconsider Schedule for Submitting Proposed Findings of Fact on Remedial Soils Issues.Intervenors Should Be Required to File Proposed Findings on Remedial Soils Issues by 831115.Certificate of Svc Encl ML20076F3261983-08-23023 August 1983 Motion for Extension Until 830902 to Respond to Intervenor Motion to Reconsider Order Upholding atty-client Privilege Protection for 821124 Util/Bechtel Meeting.Motion Received 5 Days After Mailing.W/Certificate of Svc ML20076C6711983-08-17017 August 1983 Response to M Sinclair & B Stamiris 830728 Motions Re Dow Vs Util Lawsuit.Aslb Should Defer Motions for 30 Days.Motions Could Be Refiled After Documents Reviewed.Two Oversize Drawings Encl.Aperture Cards in Pdr.Certificate of Svc Encl 1986-08-25
[Table view] |
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NRC PUBLIC DOCUMENT ROOM # '
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/o UNITED STATES CF AMERICA NUCLEAR REGULATORY CGMMISSION g Q gep0 gW Q
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Before the Atomic S,afety and Licensing Boa ,- nil,9 ,y: E.
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" ; % , <3 s In the Matter of ) s , f y,1r
) Docket Nos. 50-329 Q h.f}f\)'
CONSUMERS POWER COMPANY ) 50-330
) (Remand Proceeding)
(Midland Plant, Units 1 and 2) )
SUPPLEMENTAL MEMORANDUM OF CONSUMERS POWER COMPANY
- 1. By Prehearing Conference Order of the Licensing Board dated May 3, 1979, responses to the March 30 Motion For Sumr ary Disposition filed by Consumers Power Company (" Consumers")
were due on June 15, 1979. The only response filed was that of the NRC Staff, taking the position that:
Since no charges are yet identified and placed in issue, it is most difficult to determine whether the facts, as identified by Consumers, are disputed, much less material.
For this reason alone, ruling on Consumers' motion at this point would be premature. [ Staff Response, p. 2.]
- 2. The Staff is clearly correct that no charges have been preferred against Consumers, Dow or their respective counsel with regard to their involvement and participation in the earlier suspension hearing -- as the Board itself has carefully noted (Staf f Response, p. 2). After listening to the extensive depo-sition testimony that has been given by 13 witnesses over the past six weeks, and reviewing all the documents deemed to have any relevancy to the present inquiry, it remains clear to us 353 163 7 907100 fid K
that no charges at any kind are warranted. The hearing scheduled to commence on July 2, 1979 will appropriately serve to under-score this conclusion.
- 3. We are submitting the present supplementary memo-randum simply to clarify a few factual points prior to commence-ment of the hearing. As matters now stand, there appears tu be general agreecant among the parties with regard to the facts c set forth in paragraphs 1-10, 13-15, 18, 20-22 and 26-27 of Consumers Power Company's Statement Of Material Facts As to Which There Is No Genuine Issue To Be Heard (" Con amers Fact Statement").
See Staff Response, p. 2.-1/
- 4. As to paragraph 25 of Consumers Fact Statement, we wish to bring to the attention of the Board and the parties a correction that should be made therein. That paragraph indi-cates that Board Exhibit Nos. 1 and 2 were among the discovery documents which Consumers voluntarily made available in Jackson, Michigan, for inspection and copying by the parties in advance of the hearing.-2/ Those documents -- which are the two Temple memoranda to Mr. Oreffice setting forth the Michigan Division interim position and recommending a full corporate review by the Dow USA Board -- were actually not provided to Consumers by Dow
-1/ We would note in passing that there is a typographical err r in paragraph 5 with respect to the date of Board Exhibit No. 2. That memorandum is dated September 15, 1976, not September 13, 1976.
-2/ The same statement is contained in the " Memorandum of Con umers Power Company In Support Of Motion For Summary Dispo-sition",at p. 33.
353 164
prior' to the commencement of the hearire and thus were not among the discovery materials which Consumers produced in Jackson, Michigan. In fact, they were not even shown to Consumers or its lawyers until Dow produced the referenced Temple-to-Oreffice memoranda on the first day of the suspension hearing (November 30, 1976) at the request of counsel for the Midland Intervenors.
See Consumers Pover's Mc:morandum Regarding the Preparation of Testimony and the Presentation of Evicence dated December 30, 1976, at p. 8.
- 5. With this modification, the remaining portion of paragraph 25 of Consumers Fact Statement is correct. Thus, Consumers uid in fact "make available to all parties in advance of the suspension hearings all the materials in its possession which formed the basis for its prepared testimony". See Tr. 268.
Included among the produced documents were notes on the meeting among Consumers and Dow representatives held on September 13, 1976.
Those notes set forth the view at that time of Mr. Temple, as head of the Michigan Division negotiating group, to the effect that the project was no longer good for Dow's Midland plant, ex-plained that this view was "not yet Dow's official position but rather a Division recommendation", and further stated that Mr. Temple had requested Paul Oreffice to conduct "a Corporate review of the nuclear project cnd of the Division's position and how the Division's negotiating team arrived at their con-353 165
clusions".-3/ This is in substance the same information that was contained in Board Exhibit Nos. 1 and 2.
- 6. We note with sotse puzzlement that the NRC Staff has made reference to paragraphe 11, 12 and 19 of Consumers Fact Statement as containing information with which the Staff "does take issue" (Staff Response, p. 2), Paragraphs 11 and 12 deal only with discussions among Messrs. Miller, Rosso and Renfrow, as is clear from a reading of their affidavits. The recent deposition testimony confirms the accuracy of those para-graphs. See Rosst " . Tr. 40-42, 52-54. Whila the NRC Staff states that certain deposition testimony of Lee Nute (Nute Dep.
Tr. 132) and Jim Hanes (Hanes Dep. Tr. 15, 44, 64) put in issue the fact statements in those paragraphs, significantly neither Lee Nute nor Jim Hanes was present at the discussions in ques-tion; their deposition testimony does not even address, let alone " place in issue", the fact assertions set forth in para-graphs 11 and 12.
- 7. Paragraph 19 of Consumers Fact Statement states simply: "No representative of Consumers disputed the designation of Temole as the Dow witness". Not only did Lee Nute indicate his agreement with this statement during the course of his depo-sition (Nute Dep. Tr. 151-52, 157-58, 402-03, 512), but so , too.
did Milton Wessel (Wessel Dep. Tr. 111-14, 118). While Jim Hanes 3/ See Burroughs Notes on Dow-Consumers Project Meeting of September 13, 1976. Attachment "a" to Consumers Memorandum of December 30, 1976, at pp. 9-10 (Midland Intervenors Exhibit 67);
Renfrow Affidavit I, H 9.
353 166
did not testify directly on the point, his testimony plainly in-dicates that at no time did he perceive that Consumers seriously objected to the use of Joe Temple as a witness (Hanes Dep. Tr.
47-50).
- 8. The Staff's ,tated reservation with respect to paragraphe 2' and 24 of Consumers Fact Statement is also curious.
It apparently rests on the assertion that "Mr. Wessel's deposi-tion, among others (unspecified), raises factual matters which may,be con', trued to dispute * * *" these paragraphs (Staff Re-sponse, p. 3; emphasis added). Without at mpting to argue the matter at this tinu, we cannot help but observe that Mr. Wensel, of all the wit.. esses deposed, was perhaps the most emphatic in insj 5 ting that the Dow position from the outset was that the Michigan Division interim position not be included in Temple's direct testimony (Fessel Dep. Tr. 128-29, 268-69, 326-27).
Neither he, Lee Nute (Nute Dep. Tr. 527), nor Joe Temple (Temple Dep. Tr. 110-12) suggested that anyone at Dow had ever advised Consumers to the contrary during the preparation of Mr. Temple's direct testimony.-4/ That is, of course, precisely the statement set forth in paragraph 23 of Consumers Fact Statement.
4/ See also Renfrow Dep. Tr. 112-16; Rosso Dep. Tr. 310-13.
There was discussion during the meeting between Consumers and Dow counsel on November 1, 1976, regarding the format of the prapared testimony to be filed by Joe Temple. At that time, Milton Wessel questioned draft testimony prepared by Dave Rosso of Consumers and forwarded to Dow on Octob7r 22, 1976, on the ground that the narrative discussion used in that draft might give the " misleading" impression that the testimony was intended to be an exhaustive account of Dow's reevaluation of its com-(Continued next page) 353 167
- 9. As to paragraph 24, it simply quotes the con-clusion announced by NRC Staff counsel on December 30, 1976, to the effect that the Dow corporate position was the material decision for disclosure in Temple's direct testimony. The ref-erenced NRC Staff Memorandum, at p. 6, confirms that the quo-tation is accurate.
- 10. To the extent that there remain the suggestion
.;f a possible disagreement as to factual mattars involved in the present inquiry, the differences of opinion or interpretation will obviously be resolved at the hearing. After the Board has had an opportunity to hear firsthand the testimony of desig-nated witnesses, we continue to believe that it will conclude 4/ (Cont'd) mitment to the Midland project. See Duran Notes of Nov. 1, 1976, at pp. 2-4; Wessel Dep. Tr. 203, 217, 294; Nute Dep. Tr. 372-73, 376. In order to remove this possible misimpression, Lee Hute had prepared an alternative draft of testimony dated October 29, 1976, as a suggested solution. This October 29 alternative draft continued to present the Dow position in the manner that had consistently been urged by Milton Wessel from the outset -- i.e.,
without reference to the Michigan Division interim position.
The Nute draft 'N 1 a!elivered to Consumers attorneys just prior to the NovemF . 1 nmeting, and it was used as the final working document from a~ te Dow and Consumers lawyers jointly prepared the Temple that was actually filed (Rosso Dep.
Tr. 287). Wessel, -
2npla all testified that they were satisfied that the ? - 1 dr. 't of the direct testimony set forth all material facts relacing to the Dow position accurately and in a straightf;rward manner; there was no suggestion, as para-graph 23 of Consumers Fact Statement asserts, that any of the Dow representatives " desired the Michigan Division interim position to be included in the direct testimony". See Wessel Dep. Tr.
204, 209, 217; Nute Dep. Tr. 333; Temple Dep. Tr. 109-12.
353 16B
that the pending motion for summary disposition is well taken and should be granted.
Dated: June 26, 1979.
Respectfully submitted, SHAW, PITTMAN, POTTS & TROWBRIDGE By: b- ndi si _
Wm. Bradford F @ ds Gerald Charnoff Alan J. heisbard 1800 M Street, N.W.
Washington, D. C. 20036 Tel.: (202) 331-4100 Counsel for Consumers Power Company 353 169
UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION Before the Atomic Safety and Licensing Board In the Matter of )
) Docket Nos. 50-329 CONSUMERS POWER COMPANY ) 50-330
) (Remand Proceeding)
(Midland Plant, Units 1 and 2) )
CERTIFICATE OF SERVICE I hereby certify that copies of the foregoing
" Supplemental Memorandum Of Consumers Power Company" were served on this 26th day of June, 1979, upon each of the persons named on the attached Service List, by hand delivering copies to those persons in the Washington, D. C. area, and by mailing copies, first class, postage prepaid, to all others.
O M k\ s h Wm. Bradfofd4Qeynold%
353 170
UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION Before the Atomic Safety and Licensing Board, In the Matter of )
) Docket Nos. 50-329 CONSUMERS POWER COMPANY ) 50-330
) (Remand Proceeding)
(Midland Plant, Units 1 and 2) )
SERVICE LIST Marshall E. Miller, Esq. Mr. C. R. Stephens Chairman Chief, Docketing & Service Atomic Safety and Licensing Board Section U.S. Nuclear Regulatory Commission Office of the Secretary Washington, D. C. 20555 U.S. Nuclear Regulatory Comm.
Washington, D. C. 20555 Dr. J. Venn Leeds, Jr., Esq.
Atomic Safety and Licensing Board Judd L. Bacon, Esq.
10807 Atwell Legal Department Houston, Texas 77096 Consumers Power Company 212 West Michigan Avenue Dr. Emmeth A. Luebke Jackson, Michigan 49201 Atomic Safety and Licensing Board U.S. Nuclear Regulatory Commission Grant J. Merritt, Esq.
Washington, D. C. 20555 Thompson, Nielsen, Klaverkamp & James Atomic Safety and Licensing 80 S. Eighth Street Board Panel Minneapolis, Minn. 55402 U.S. Nuclear Regulatory Commission Washington, D. C. 20555 Ms. Mary Sinclair 5711 Summerset Street Atomic Safety and Licensing Midland, Michigan 48640 Appeal Panel U.S. Nuclear Regulatory Commission Harold F. Reis, Esq.
Washington, D. C. 20555 Robert Lowenstein, Esq.
Lowenstein, Newman, Reis William J. Olmstead, Esq. and Axelrad Dennis C. Dambly, Esq. 1025 Connecticut Avenue Counsel for NRC Staff Washington, D. C. 20036 U.S. Nuclear Regulatory Commission Washington, D. C. 20555 353 17I
Mr. Steve Gadler 2120 Carter Avenue St. Paul, Minnesota 55108 Michael I. Miller, Esq.
Ronald G. Zamarin, Esq.
Martha E. Gibbs, Esq.
Caryl A. Bartelman, Esq.
Isham, Lincoln & Beale One First National Plaza 42nd Floor Chicago, Illinois 60603 William C. Potter, Jr., Esq.
Fischer, Franklin, Ford, Simon & Hogg 1700 Guardian Building Detroit, Michigan 48226 Myron M. Cherry, Esq.
One IBM Plaza Suite 4501 Chicago, Illinois 60611 R. L. Davis, Esq.
J. E. Dicks, Esq.
L. F. Nute, Esq.
The Dow Chemical Company Legal Dept., 47 Bldg.
Midland, Michigan 48640 353 172