ML20056C897

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Joint Motion to Extend Date for Filing Petitioners Contentions.* W/Certificate of Svc
ML20056C897
Person / Time
Site: Pilgrim
Issue date: 07/15/1993
From: Dean G, Horan D
BOSTON EDISON CO., MASSACHUSETTS, COMMONWEALTH OF
To:
Atomic Safety and Licensing Board Panel
References
CON-#393-14122 93-678-03-OLA, 93-678-3-OLA, OLA, NUDOCS 9307260102
Download: ML20056C897 (3)


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                                                                                    .%c UNITED STATES OF AMERICA                 '93 216 P4 SJ          ,

NUCLEAR REGULATORY COMMISSION i before the ATOMIC SAFETY AND LICENSING llOARD

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In the Matter of )

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lloston Edison Company ) Docket No. 50-293-OLA  !

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( Pilgrim Nuclear Power Station ) ) ASLil No. 93 678-03-OLA

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Facility Operating License ) July 15,1993 No. DPR-35 ) __ )  ; JOINT MOTION TO EXTEND TIIE DATE FOR FILING PETITIONER'S CONTENTIONS Iloston Edison Company and the Massachusetts Attorney General ( hereinafter 1 referred to collectively as the " Parties" ) hereby jointly request that the Atomic Safety and Licensing floard extend the date for filing of petitioner's contentions from its current date of July 16, 1993 to August 13, 1993. In support of this request, the Parties state as follows:

1. The Parties have entered into settlement negotiations of the matters at issue in this proceeding. The Parties believe that this effort is consistent with the intent and the provisions of 10 C.F.R. 9 2.759.
2. The Parties believe that it may be possible to resolve these issues, on a fair, equitable and mutually ' satisfactory basis outside of- the hearing process.

9307260102 930715" PDR ADOCK 05000293 G PDR f

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3. The parties recognize that in order to continue the settlement negotiations in a deliberate, effective and efficient manner, additional time is required beyond the scheduled date for petitioners filing of contentions set- by.the Iloard in its Memorandum and Order dated June 21,1993.
4. The Parties believe that the extension of time is in the best interests of all the parties and that no harm will come from its being granted.
5. The Parties have discussed this motion with the Office of the General Counsel, U.S. Nuclear Regulatory Commission and they have authorized us to state that they do not oppose the approval of this motion.

Respectfully submitted, f C- I P.d2k - - Wi % t George . Dean /' Douglas IIoran - G Assistant Attorney General General Counsel Chief Regalated Industries Division for Public Protection ilureau Boston Edison Company for Scott liarshbarger Attorney General

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l Dated: July 15,1993 i i l l

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. UNITED STATES OF AMERICA' NUCLEAR REGULATORY COMMISSION before the - ATOMIC SAFETY AND LICENSING BOARD 1 In the Matter of Boston Edison Company ) Docket No. 50-293-OLA (Pilgrim Nuclear Power Station) ASLB No. 93-678-03-OLA CERTIFICATE OF SERVICE . I hereby certify a copy of the Massachusetts Attorney General and Boston Edison Company's Jomt Motion Request for Extension of Filing Date for Petitioner's Contentions was served by first-class mail on the parties listed below on this date. Office of Commission Appellate Administrative Judge Adjudication- James P. Gleason, Chairman U.S. Nuclear Regulatory Commission Atomic Safety and Licensing Board Washington, D.C. 20555 U.S. Nuclear Regulatory Commission Washington, D.C. 20555 Administrative Judge Administrative Judge Charles N. Kelber Thomas D. Murphy Atomic Safety and Licensing Board Atomic Safety and Licensing Board U.S. Nuclear Regulatory Commission U.S. Nuclear Regulatory Commission Washington, D.C. 20555 Washington, D.C. 20555  ; Office of the Secretary Joseph W. Rogers, Esq. Attn: Docketin and Service Branch Assistant Attorney General l U.S. Nuclear R latory Commission The Commonwealth of Massachusetts _1 Washington, D. 20555 Office of the Attorney General 131 Tremont Street Boston, MA 02111

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Ann P. Hodgdon, Esq. I Office of the General Counsel U.S. Nuclear Regulatory Commission 'I Washington, D.C. 20555 l M. . Uopn M.Fulton \ S'enior Counsel i Boston Edison Company I 800 Boylston Street j Boston, MA 02199 i Date: July 15,1993 (617) 424-2553}}