ML20041E100

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First Set of Interrogatories & Request for Production of Documents.Certificate of Svc Encl
ML20041E100
Person / Time
Site: Allens Creek File:Houston Lighting and Power Company icon.png
Issue date: 03/05/1982
From: Doggett S
DOGGETT, S.A., INTERVENORS CONN, CUMMINGS, DOGGETT, GRIFFITH, JOHNSTON
To:
NRC OFFICE OF THE EXECUTIVE LEGAL DIRECTOR (OELD)
References
NUDOCS 8203100145
Download: ML20041E100 (5)


Text

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UNITED STATES OF AMERICA  % ,

l NUCLEAR REGULATORY COMMISSION

'82 nn _9 N0 '47 BEFORE THE ATOMIC SAFETY AND LICENSING BOARD c,,

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In the Matter of 5 L.

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1100SION LImrIIU AND POWER $  %

CmPANY 5 Docket No. 50p 6 Q6p, (Allens Creek Nuclear 5 s D Generating Station, Unit No.1) 5

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2 RiCipry - fQ mTO S 1982x F c 7 FIRST SET T INIERROGNIORIES AND g[," np#pumum $%' y .,IJ b y -N REQUESTS FOR PRODUCTION OF DOCGENIS s'

REGARDING TEXPIRG C N TENTIW 31 e MOI INIERVENORS D00GErr, CONN, CtERES, ~%

IDtER AND JOHNSTm 10: NRC STAFF Preface Pursuant to Section 2.740b and 2.741 of the Commission's Rules of Practice, Intervenors DOGGETT, CONN, CUMINGS, GRIFFITH, LEMMER, and JOHNSTON propound the following Interrogatories and Request for Production of Documents to e

NRC Staff (hereinafter " Staff"). Each interrogatory should be answered separately and fully in writing under oath or affirmation by the person or persons making them no later than (14) days after service of these Interrogatories and Request for Production, and each document requested should be produced no later than thirty (30) days after service of these Interrogatories and Request for Production. y s

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8203100145 820305 PDR ADOCK 05000466 G PDR ,

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Interrogatories

1. (a) Identify each witness, other than an expert witness, who Staff may call in this proceeding to present additional testimony on Texpirg Contention 31, and provide a summary of the testimony in which each witness is expected to offer.

(b) Identify all documents upon which each such witness may rely in anyway, and provide copies of any such documents.

2. (a) Identify each expert witness who Staff expects to call in this proceeding to present additional testimony on Texpirg Contention 31.

(b) State the qualifications and credentials of each such expert witness.

(c) Provide a summary of the testimony which each such-witness is expected to offer.

(d) State the factual basis for each conclusion or opinion each such witness expects to present or draw in such expert's testimony. ,

(e) Identify ~all documents prepared by, for, or under the supervision of each such expert witness, or reviewed or relied upon by such expert in formulating the expert's opinions and conclusions, including work papers, preliminary outlines and memoranda, and communications between such expert and Staff. Provide copies of any such documents.

3. When was the first member of the NRC informed that an consultant had been hired to conduct an independent third party review of design and engineering work at STNP? Who inforr.ed .him? Who was informed?
4. When did HL & P meet with Staff to discuss the Quadrex Report's findings?
5. How many reportable findings under ten (10) CFR 50.55 (e) were reported to the NRC in May, 1981? What were the findings? Who reported the findings? Please produce any documents or memoranda. concerning the reporting of these findngs.
6. When was a copy of the Quadrex Report actually given to any staff member of the NRC?
7. Please produce any written memoranda, or other documents which reflects the substance of the conversation I

between Don Sells and Mr. Goldberg concerning Quadrex which occurred the week of May 11, 1981.

Respectfully submitted,

,b n D_ -

STEPHEN A. DOGGETT Pro Se and As Attorney for Intervenors Conn, Cumings, Griffith, Lemmer and Johnston 1000 Austin - Suite C Richmond, Texas 77469 Telephone: (713) 342-3242 State Bar Card No. 05945700

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D a,

lNITED STATES OF RERICA NUCEAR REGUIRDRY C011ISSION BEFORE THE AlmIC SAFLTY AND LICENSING BOARD In the Matter of 9 5

HOUSIm LIGIIIK; & POWER S CCEPRE $ D0GET NO. 50-466 5

(Allens Creek Nuclear 5 Generating Station, Unit 5 No. 1) 5

, CERTIFICATE OF SERVICE I hereby certify that copies of the foregoing First Set of In-terrogatories and Requests for Production of Doc eents Regarding Texpirg Contention 31 from Intervenors Doggett, Conn, C mings, Ia mer, and Johnston to NRC Staff in the above-captioned proceedings were served on the following by deposit in the United States mail, postage prepaid, or by hand-delivery this MJ day of yyM A eA , ,

1982.

Eheldon J. Wolfe, Esq., Chairman Susan Plettman Atmic Safety and Licensing Board David Preister Panel Texas Attorn General's U.S. Nuclear Regulatory Cm mission Office Washington, D.C. 20555 P. O. Box 12548 Capitol Station Dr. E. Imonard Cheatm Austin, Texas 78711 Route 3, Box 350A Watkinsville, Georgia 30677 Hon. Charles J. Dusek Mayor, City of Wallis Mr. Gustave A. Linenberger P. O. Box 312 At mic Safety and Licesing Board Wallis, Texas 77485 Panel U.S. Nuclear Regulatory Cmmission Hon. Imroy H. Grebe Washington, D.C. 20555 County Judge, Austin County P. O. Box 99 Mr. Chase R. Stephms Bellville, Texas 77418 Docketing and Service Section Office of the Secretary of the Atomic Safety:and Licensing Cm mission AppealBoard U.S. Nuclear Regulatory Cm mission U.S. Nuclear Regulatory Camission Washington, D.C. 20555 Washington, D.C. 20555 J. Gregory Copeland Atmic Safety and Licensing Scott E. Rozzell Board Panel 3000 One Shell Plaza U.S. Nuclear Regulatory Cmmission Houston, Texas 77002 Washington, D.C. 20555

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Richard Black, Esq. D. Marrack Staff Counsel 420 Hilberry Lane U.S. Nuclear Regulatory Cmmission Bellaire, Texas 77401 Washi gton, D.C. 20555 Mr. J. Morgan Bishop Mr. Bryan L. Baker 11418 Oak Spring 1118 Montrose Houston, Texas 77043 Houston, Texas 77019 Mr. Jolm F. Doherty Willian Schuessler 4327 Alconbury 5810 Darnell Houston, Texas 77021 Houston, Texas 77074 Ms. Brenda McCorkle Mr. W. Matthew Perrenod 6140 Darnell 4070 Merrick Houston, Texas 77074 Houston, Texas 77025 Mr. Wayne E. Rentfro Mr. James M. Scott P. O. Box 1335 13935 Ivy Mount Rosenberg, Texas 77471 Sugar Land, Texas 77478 Mr. F. H. Potthoff Carro Hinderstein 7200 Shady Villa, No. 110 723 Main, Suite 500 - Houston, Texas 77080 Houston, Texas 77002 t 6 FNf smAw

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