ML20028E174

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Motion for Expedited Order Compelling Continuation of R Weatherwax Deposition,Answers to Oral Deposition Questions & Production of Documents,Or Alternatively,To Preclude Testimony.Related Correspondence
ML20028E174
Person / Time
Site: Indian Point  Entergy icon.png
Issue date: 01/17/1983
From: Brandenburg B, Colarulli P
CONSOLIDATED EDISON CO. OF NEW YORK, INC., MORGAN ASSOCIATES, POWER AUTHORITY OF THE STATE OF NEW YORK (NEW YORK
To:
Atomic Safety and Licensing Board Panel
Shared Package
ML20028E175 List:
References
ISSUANCES-SP, NUDOCS 8301210046
Download: ML20028E174 (2)


Text

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"WED Colu:ESPONpgg UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION 000.[5U ATOMIC SAFETY AND LICENSING BOARD Before Administrative Judges:

James P. Gleason, Chairman .

Frederick J. Shon .o Dr. Oscar H. Paris DOCAh. ,MlClij'g/{h

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In the Matter of )

)

CONSOLIDATED EDISON COMPANY OF ) Docket Nos.

NEW YORK, INC. ) 50-247 SP (Indian Point, Unit No. 2) ) 50-286 SP

)

POWER AUTHORITY OF THE STATE OF )

NEW YORK ) January 17, 1983 (Indian Point, Unit No. 3) )

)

LICENSEES' MOTION FOR EXPEDITED ORDER COMPELLING CONTINUATION OF DEPOSITION, ANSWERS TO ORAL DEPOSI-TION QUESTIONS, AND PRODUCTION OF DOCUMENTS, OR IN THE ALTERNATIVE, TO PRECLUDE TESTIMONY OF ROBERT WEATHERWAX Consolidated Edison Company of New York, Inc. and the Power Authority of the State of New York, licensees of Indian Point Units 2 and 3, respectively, move the Atomic Safety and Licensing Board (Board) for an order compelling the continued deposition of Robert Weatherwax in New York City or Washington, D.C., answers to oral deposition ques-tions, and the production of documents identified in the deposition. In the alternative, licensees move that the Board preclude the testimony of Mr. Weatherwax. The grounds for this motion, which are more fully set forth in the accompanying memorandum, are that the failure of the witness 8301210046 830117 PDR ADOCK 05000247 G PDR e s o .. a

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to complete the deposition, to answer all questions fully, and to produce certain documents have prejudiced the licen-sees by denying them their right to complete preparation of their case, and, therefore, have denied them administrative procedural rights and due process of law.

Respectfully submitted, Y. s At*4A . Akl $ Y'm IBrent L.' Brandenburg" @ Charles Morgan, Jr.T""

Paul F. Colarulli CONSOLIDATED EDISON COMPANY Joseph J. Levin, Jr.

OF NEW YORK, INC.

4 Irving Place MORGAN ASSOCIATES, CHARTERED New York, New York 1899 L Street, N.W.

(212) 460-4600 Washington, D.C. 20036 (202) 466-7000 Stephen L. Baum General Counsel Charles M. Pratt Assistant General Counsel POWER AUTHORITY OF THE STATE OF NEW YORK Licensee of Indian Point Unit 3 10 Columbus Circle New York, New York 10019 (212) 397-6200 Bernard D. Fischman Michael Curley ,

Richard F. Czaja David H. Pikus l

SHEA & GOULD l

330 Madison Avenue l New York, New York 10017 (212) 370-8000

Dated
January 17, 1983 l

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