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Category:INTERROGATORIES; RESPONSES TO INTERROGATORIES
MONTHYEARML20154L2121986-03-0606 March 1986 Response to Citizens Concerned About Nuclear Power,Inc, 860204 Second Request for Production of Documents.Request for Documents Re Drug Use Objectionable Due to Irrelevance to Discovery.W/Certificate of Svc.Related Correspondence ML20137W8731986-02-18018 February 1986 Response & Objections to Citizens Concerned About Nuclear Power Second Set of Interrogatories.Inquiry Into Illegal Drug Use & Programs to Detect Use Is Irrelevant & Unnecessary.Related Correspondence ML20151Z2281986-02-12012 February 1986 Responses to Eighth Sets of Interrogatories Re QA Program & Request for Production of Documents.W/Certificate of Svc. Related Correspondence ML20210B9191986-02-0404 February 1986 Second Set of Interrogatories Re Use,Sale & Detection of Illegal Drugs at Facility.W/Certificate of Svc.Related Correspondence ML20151T3781986-02-0404 February 1986 Second Request for Production of Documents Re Programs Described in Response to Second Set of Interrogatories & Results of Lie Detector Tests Performed Concerning Use of Illegal Drugs.W/Certificate of Svc.Related Correspondence ML20137P6301986-01-29029 January 1986 Eighth Set of Interrogatories & Requests for Production of Documents Re Adequacy of Existing QA Program Described in FSAR Through 851115 Amend 52 & Util Ltrs Through 860110. Certificate of Svc Encl.Related Correspondence ML20077P3091983-09-0707 September 1983 Supplemental Answers to Sixth Set of Interrogatories & Requests for Production of Documents.Certificate of Svc Encl.Related Correspondence ML20080D2001983-08-26026 August 1983 Answers & Objections to First Set of Interrogatories on Contention 4.Certificate of Svc Encl ML20080D2031983-08-26026 August 1983 Answers & Objections to First Set of Interrogatories on Quadrex.Certificate of Svc Encl ML20024E4001983-08-0808 August 1983 First Set of Interrogatories on Quadrex.Related Correspondence ML20024E4021983-08-0808 August 1983 First Set of Interrogatories on Contention 4.Certificate of Svc Encl.Related Correspondence ML20024A6881983-06-13013 June 1983 Supplemental Answer to Seventh Set of Interrogatories & Requests for Production of Documents Re Site Location Acceptability.W/Certificate of Svc.Related Correspondence ML20072U0211983-04-0404 April 1983 Response to Sixth Set of Interrogatories & Requests for Production of Documents.Certificate of Svc Encl.Related Correspondence ML20072L5121983-03-28028 March 1983 Seventh Set of Interrogatories & Requests for Production of Documents.Certificate of Svc Encl.Related Correspondence ML20071E9591983-03-10010 March 1983 Sixth Set of Interrogatories & Requests for Production of Documents.Certificate of Svc Encl.Related Correspondence ML20050K0731982-04-0909 April 1982 Objections to Third Set of Interrogatories.Certificate of Svc Encl.Related Correspondence ML20039G1751982-01-0808 January 1982 Answer to Applicants' Fourth Set of Interrogatories & Requests for Production of Documents.Certificate of Svc Encl.Related Correspondence ML20039G2381982-01-0808 January 1982 Answers & Objections to Citizens for Equitable Utils & Citizens Concerned About Nuclear Power 811221 Joint Interrogatories & Request for Production of Documents. Certificate of Svc Encl ML20039G0601982-01-0606 January 1982 Answers to Applicant Fifth Set of Interrogatories & Requests for Production of Documents.Intervenor Only Relies on IE Insp Repts 50-498/81-28 & 50-499/81-28 to Support Contention 1.8 (a-d).Certificate of Svc Encl ML20039B4881981-12-21021 December 1981 Fourth Set of Interrogatories & Requests for Production of Documents.Certificate of Svc Encl ML20039B4871981-12-21021 December 1981 Fifth Set of Interrogatories & Requests for Production of Documents.Certificate of Svc Encl ML20039C6911981-12-21021 December 1981 Joint Interrogatories & Request for Production of Documents. Certificate of Svc Encl ML20039G2591981-12-11011 December 1981 Documents Produced in Response to Citizens for Equitable Utils & Citizens Concerned About Nuclear Power 811221 Joint Interrogatories & Request for Production of Documents. Related Correspondence ML20005C0711981-11-0909 November 1981 Suppl to 811106 Interrogatories Filed Per 811030 Memorandum & Order.Questions Deal W/Brown & Root Involvement in Plant Design,Engineering & Const Mgt.Certificate of Svc Encl. Related Correspondence ML20005C0591981-11-0707 November 1981 Interrogatories Filed Per ASLB 811030 Memorandum & Order. Questions Deal W/Brown & Root Involvement in Plant Design Engineering & Const Mgt.Certificate of Svc Encl.Related Correspondence ML20005C0621981-11-0606 November 1981 Joint Interrogatories,Pursuant to ASLB 811030 Order. Certificate of Svc Encl ML20008G1471981-05-0404 May 1981 Interrogatories Directed to NRC Re Partial SER,NUREG-0780, Pursuant to ASLB 810421 Order.Certificate of Svc Encl. Related Correspondence ML20003E2201981-03-23023 March 1981 Supplemental Answers to Applicant Interrogatories Re Individuals Assisting in Answering Interrogatories. Certificate of Svc Encl ML19350C7541981-03-16016 March 1981 Citizens for Equitable Utils Response to Second Set of Interrogatories.Identities of Persons Confiding in Intervenors Will Not Be Divulged.Certificate of Svc Encl. Related Correspondence ML19350C7471981-03-16016 March 1981 Answers to Third Set of Interrogatories from Util.Applicants Already Have Documents Requested.Intervenors Removed Nothing from Swayze Atty Files.Certificate of Svc Encl.Related Correspondence ML19341A3681981-01-16016 January 1981 Third Set of Interrogatories to Citizens for Equitable Utils,Inc Re Intended Witnesses & Testimony in 810504 Licensing Hearing.Certificate of Svc Encl ML19341A3691981-01-16016 January 1981 Fourth Set of Interrogatories to Citizens Concerned About Nuclear Power,Inc Re Intended Witnesses & Testimony in 810504 Licensing Hearing.Certificate of Svc Encl ML19345E0721980-12-0505 December 1980 Third Set of Interrogatories & Requests for Production of Documents to Citizens Concerned About Nuclear Power,Inc. Certificate of Svc Encl ML19341A8741980-12-0505 December 1980 Second Set of Interrogatories & Request to Produce Documents Directed to Citizens for Equitable Utils.Concerns STP Const Records.Certificate of Svc Encl ML19331D3111980-08-25025 August 1980 Interrogatories & Request for Production of Documents Directed to Central Power & Light Re Communication W/Wb Sayles,M Borchelt,Wc Price,T Russell & D Chalker. W/Certificate of Svc & Cover Ltr Urging Response in 14 Days ML19329F7271980-06-13013 June 1980 Answers to NRC Interrogatories & Request for Documents. Identifies DE Swayze as Witness Intended to Be Called Re Nonconformance Repts of Contention 1.DG Bridenbaugh & R Hubbard Will Be Called Re Contention 3.W/Certificate of Svc ML19309F7771980-04-0404 April 1980 Response to Houston Lighting Power Second Set of Interrogatories & Request for Production of Documents. Alleges Void Testing Program Violates 10CFR50,Part B. Certificate of Svc & Supporting Documentation Encl ML19305D0521980-04-0303 April 1980 Second Supplemental Answers to Central Power & Light Co 790223 Interrogatories.Simmons & Woodson Are Expected to Testify Re Interconnections.Certificate of Svc Encl ML19305D0461980-04-0303 April 1980 Third Set of Addl Answers to NRC 790115 Initial Interrogatories.Simmons & Woodson Are Expected to Testify Re Interconnections ML19305C8451980-03-21021 March 1980 Response to DOJ First Set of Interrogatories.Includes Info Re Tx Electric Cooperatives & Wholesale Suppliers. Certificate of Svc Encl ML19309D5291980-03-20020 March 1980 Supplemental Response to First Set of Interrogatories & Requests for Production of Documents.Includes Info Re San Antonio Refusal to Transmit or Receive Interstate Electrical Power.Exhibits Responsive to Interrogatories Encl ML19309D5271980-03-20020 March 1980 Supplemental Response to First Set of Interrogatories & Request for Production of Documents.Includes Info Re Utils Which Purchased coal-fired Economy Energy from City Public Svc Board of San Antonio ML19309D5301980-03-20020 March 1980 Supplemental Response to Brownsville Public Util Board Initial Interrogatories & First Request for Production of Documents.Includes Info Re Joint Action Contemplated by Members of Tx Interconnected Sys.Certificate of Svc Encl ML19309C0101980-03-13013 March 1980 Third Supplemental Response to First Set of Interrogatories & Document Requests.Includes Info Re Gt Taylor Testimony Re Four Relevant Product Markets in Proceedings ML20126C8761980-03-13013 March 1980 Response to Third Set of Interrogatories.Includes Info Re Electric Power & Energy Delivered to Various Utils During Dec 1979.Certificate of Svc Encl ML19309B9951980-03-11011 March 1980 Updated Response to First Set of Interrogatories & Document Requests.Includes Info Re Witnesses,Competitive Utils, Product & Geographic Market & Petitions to Intervene.Prof Qualifications of DA Springs & Certificate of Svc Encl ML19309C7061980-03-11011 March 1980 Supplemental Response to Third Set of Interrogatories & Document Requests.Supplemental Answer to Interrogatory 18 Encl.W/O Encl ML19309D2931980-03-11011 March 1980 Fourth Supplemental Response to First Set of Interrogatories & Document Requests.Includes Info Re Cities & Utils Which Have Explored Power Alternatives Offered by Tx Utils Co ML19309C6991980-03-11011 March 1980 Second Supplemental Response to First Set of Interrogatories & Document Requests.Includes Info Re Projected Loads, Capacity & Reserves as of 800215 ML19309C7111980-03-11011 March 1980 Supplemental Response to First Set of Interrogatories & Document Requests.Includes Info Re Monthly Fuel Cost Adjustments for 1979 1986-03-06
[Table view] Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20206H2221999-05-0404 May 1999 Exemption from Requirements of 10CFR50.60 That Would Allow STP Nuclear Operating Co to Apply ASME Code Case N-514 for Determining Plant Cold Overpressurization Mitigation Sys Pressure Setpoint.Commission Grants Exemption ML20195C7541998-11-0505 November 1998 Order Approving Application Re Proposed Corporate Merger of Central & South West Corp & American Electric Power Co,Inc.Commission Approves Application Re Merger Agreement Between Csw & Aep ML20155H5511998-11-0202 November 1998 Exemption from Certain Requirements of 10CFR50.71(e)(4) Re Submission of Revs to UFSAR ML20248K5051998-06-0909 June 1998 Confirmatory Order Modifying License (Effective Immediately).Answer for Request for Hearing Shall Not Stay Immediate Effectiveness of Order NOC-AE-000109, Comment on Proposed Rule 10CFR50 Re Rev to 10CFR50.55a, Industry Codes & Standards.South Texas Project Fully Endorses Comments to Be Provided by NEI1998-03-30030 March 1998 Comment on Proposed Rule 10CFR50 Re Rev to 10CFR50.55a, Industry Codes & Standards.South Texas Project Fully Endorses Comments to Be Provided by NEI ML20137U3531997-04-0808 April 1997 Order Approving Application Re Formation of Operating Company & Transfer of Operating Authority ML20116B8871996-07-19019 July 1996 Transcript of 960719 Predecisional Enforcement Conference Re Apparent Violations of NRC Requirements at Plant TXX-9522, Comment Opposing Proposed GL on Testing of safety-related Logic Circuits.Believes That Complete Technical Review of All Surveillance Procedures Would Be Expensive & Unnecessary Expenditure of Licensee Resources1995-08-26026 August 1995 Comment Opposing Proposed GL on Testing of safety-related Logic Circuits.Believes That Complete Technical Review of All Surveillance Procedures Would Be Expensive & Unnecessary Expenditure of Licensee Resources ML20072P5441994-07-13013 July 1994 Testimony of Rl Stright Re Results of Liberty Consulting Groups Independent Review of Prudence of Mgt of STP ML20092C3911993-11-15015 November 1993 Partially Deleted Response of Rl Balcom to Demand for Info ML20092C4031993-11-15015 November 1993 Partially Deleted Response of Hl&P to Demand for Info ML20056G3351993-08-27027 August 1993 Comment Opposing Proposed Rule 10CFR2 Re Review of 10CFR2.206 Process ML20044D3311993-05-0404 May 1993 Comment Supporting Proposed Generic Communication Re Mod of TS Administrative Control Requirements for Emergency & Security Plans ST-HL-AE-4162, Comment Supporting Proposed Rules 10CFR20 & 50 Re Reducing Regulatory Burden on Nuclear Licenses1992-07-22022 July 1992 Comment Supporting Proposed Rules 10CFR20 & 50 Re Reducing Regulatory Burden on Nuclear Licenses ST-HL-AE-4146, Comment Supporting Draft Reg Guide DG-1021, Selection, Design,Qualification,Testing & Reliability of EDG Units Used as Class 1E Onsite Electric Power Sys at Nuclear Power Plants1992-07-0606 July 1992 Comment Supporting Draft Reg Guide DG-1021, Selection, Design,Qualification,Testing & Reliability of EDG Units Used as Class 1E Onsite Electric Power Sys at Nuclear Power Plants ST-HL-AE-4145, Comment on Proposed Rule 10CFR50 Re Loss of All Alternating Current Power & Draft Reg Guide 1.9,task DG-1021.Supports Rule1992-07-0606 July 1992 Comment on Proposed Rule 10CFR50 Re Loss of All Alternating Current Power & Draft Reg Guide 1.9,task DG-1021.Supports Rule ML20101K1131992-06-29029 June 1992 Motion for Leave to Suppl Motion to Modify or Quash Subpoenas & Supplemental Info.* OI Policy Unfair & Violative of Subpoenaed Individuals Statutory Rights & Goes Beyond Investigatory Authority.W/Certificate of Svc ML20101G2041992-06-18018 June 1992 Motion to Modify or Quash Subpoenas.* Requests Mod of Subpoenas Due to Manner in Which Ofc of Investigations Seeks to Enforce Is Unreasonable & Fails to Protect Statutory Rights of Subpoenaed Individuals.W/Certificate of Svc ML20087L3301992-04-0202 April 1992 Affidavit of RW Cink Re Speakout Program ML20087L3561992-04-0202 April 1992 Affidavit of Wj Jump Re Tj Saporito 2.206 Petition ML20087L3491992-04-0202 April 1992 Affidavit of JW Hinson Re ATI Career Training Ctr ML20087L3651992-04-0202 April 1992 Affidavit of Rl Balcom Re Access Authorization Program ML20116F2671992-02-19019 February 1992 Requests NRC to Initiate Swift & Effective Actions to Cause Licensee to Immediately Revoke All Escorted Access to Facility ML20094E9511992-02-10010 February 1992 Requests That NRC Initiate Swift & Effective Actions to Cause Licensee to Immediately Revoke All Escorted Access to Facility & to Adequately Train All Util Employees in Use of Rev 3 to Work Process Program ML20066C5041990-09-24024 September 1990 Comment on Proposed Rule 10CFR26 Re NRC Fitness for Duty Program.Urges NRC Examine Rept Filed by Bay City,Tx Woman Who Was Fired from Clerical Position at Nuclear Power Plant Due to Faulty Drug Test Administered by Util ML20006A0281990-01-0808 January 1990 J Corder Response to NRC Staff Motion to Modify Subpoena & Motion for Protective Order.* Requests Protective Order Until NRC Makes Documents Available to Corder by FOIA or Directly.W/Certificate of Svc ML20005G1431989-12-11011 December 1989 Motion to Modify Subpoena & Motion for Protective Order.* Protective Order Requested on Basis That Subpoena Will Impose Undue Financial Hardship on J Corder ML20005G1451989-12-0505 December 1989 Affidavit of Financial Hardship.* Requests NRC to Provide Funds for Investigation & Correction of Errors at Plant Due to Listed Reasons,Including Corder State of Tx Unemployment Compensation Defunct ST-HL-AE-3164, Comment Supporting Proposed Rule 10CFR50, Acceptance of Products Purchased for Use in Nuclear Power Plant Structures,Sys & Components1989-07-0505 July 1989 Comment Supporting Proposed Rule 10CFR50, Acceptance of Products Purchased for Use in Nuclear Power Plant Structures,Sys & Components ML20244C9131989-03-28028 March 1989 Transcript of 890328 Meeting in Rockville,Md Re Discussion/ Possible Vote on Full Power Ol.Pp 1-65.Supporting Documentation Encl ML20055G7801988-11-10010 November 1988 Investigative Interview of La Yandell on 881110 in Arlington,Tx.Pp 1-13.Related Info Encl ML20055G7831988-11-0909 November 1988 Investigative Interview of R Caldwell on 881109 in Arlington,Tx.Pp 1-27.Related Info Encl ML20055G7881988-11-0909 November 1988 Investigative Interview of AB Earnest on 881109 in Arlington,Tx.Pp 1-90.Related Info Encl ML20055G7151988-11-0909 November 1988 Investigative Interview of J Kelly on 881109 in Arlington, Tx.Pp 1-35.Supporting Documentation Encl ML20205T7001988-11-0101 November 1988 Comment Supporting Proposed Rule 10CFR26 Re Initiation of Fitness for Duty Program at Facility.Need for Program Based on Presumption That Nuclear Power Activities Require That Personnel Be Free from Impairment of Illegal Drugs ML20151M2071988-07-25025 July 1988 Comment Supporting Proposed Rules 10CFR170 & 171 Re Fee Schedules.Principal Objection to Rules Relates to Removal of Current Ceilings on Collection of Fees DD-88-09, Decision DD-88-09 Denying 880317 Petition by Earth First, Gray Panthers of Austin,Lone Star Green,Public Citizen,South Texas Cancellation Campaign & Travis County Democratic Women Committee for Commission to Delay Util Licensing Vote1988-06-17017 June 1988 Decision DD-88-09 Denying 880317 Petition by Earth First, Gray Panthers of Austin,Lone Star Green,Public Citizen,South Texas Cancellation Campaign & Travis County Democratic Women Committee for Commission to Delay Util Licensing Vote ML20196A3701988-06-17017 June 1988 Notice of Receipt of Petition for Director'S Decision Under 10CFR2.206 & Issuance of Director'S Decision Denying Petitioners Request ML20148K0271988-03-21021 March 1988 Transcript of 880321 Discussion/Possible Vote on Full Power License for South Texas Nuclear Project,Unit 1 (Public Meeting) in Washington,Dc.Viewgraphs Encl.Pp 1-73 ML20150D1401988-03-21021 March 1988 Appeal of Director'S Decision on Southern Texas Project.* Requests That Commission Consider Appeal & Stay Licensing Decision Until Sufficient Evidence Acquired to Support Final Decision ML20150D0411988-03-17017 March 1988 Petition Of:Earth First!,Gray Panthers of Austin,Lone Star Green,Public Citizen,South Texas Cancellation Campaign, Travis County Democratic Women'S Committee.* Withholding of Issuance of License Requested ML20196H4661988-02-29029 February 1988 Receipt of Petition for Director'S Decision Under 10CFR2.206.* Gap 880126 Petition to Delay Voting on Full Power OL for Facility Until Investigation of All Allegations Completed Being Treated,Per 10CFR2.206 ML20148Q9531988-01-26026 January 1988 Petition of Gap.* Commission Should Delay Vote on Licensing of Facility Until Thorough Investigation of All Allegations Completed & Public Rept Issued.Exhibits Encl ML20237C2751987-12-13013 December 1987 Director'S Decision 87-20 Denying Petitioners 870529 Motion That Record in Facility Licensing Hearings Be Reopened & Fuel Loading Be Suspended Pending Resolution of Issues. Petitioner Failed to Provide Any New Evidence ML20236H3751987-10-29029 October 1987 NRC Staff Consent to Motion to Quash Subpoena Filed by E Stites.* Staff Concedes Possibility of Deficiencies in Svc of Subpoena to Stites & Therefore Does Not Oppose Motion to Quash.Certificate of Svc Encl ML20236E0111987-10-23023 October 1987 Order.* Grants NRC Request for Addl Time to Respond to Motion to Quash Subpoena of E Stites,Per 871008 Order. Response Should Be Filed by 871029.Served on 871023 ML20235T3891987-10-0808 October 1987 Motion to Quash Subpoena & Motion for Protective Order.* Subpoena Issued by Rd Martin on 870922 Should Be Quashed Due to Stites Not Properly Served,Witness Fees & Transportation Costs Not Provided & Issuance in Bad Faith ML20235T4171987-10-0808 October 1987 Memorandum in Support of Motion to Quash or in Alternative in Support of Motion for Protective Order.* Martin 870922 Subpoena of Stites Invalid & Improper.Decision to Subpoena at Late Date Form of Harassment.W/Certificate of Svc ML20195D8561987-09-22022 September 1987 Subpoena Directing E Stites to Appear on 871008 in Arlington,Tx to Testify Before NRC Personnel Re Allegations Made Concerning safety-related Deficiencies &/Or Records Falsifications at Plant IA-87-745, Subpoena Directing E Stites to Appear on 871008 in Arlington,Tx to Testify Before NRC Personnel Re Allegations Made Concerning safety-related Deficiencies &/Or Records Falsifications at Plant1987-09-22022 September 1987 Subpoena Directing E Stites to Appear on 871008 in Arlington,Tx to Testify Before NRC Personnel Re Allegations Made Concerning safety-related Deficiencies &/Or Records Falsifications at Plant 1999-05-04
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I O
ILELATED COEREPONDENCts CClyETED
- TC UNITED STATES OF AMERICA '83 WR 14 AllIll NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD , ;1Nb WH In the Matter of 5 9
HOUSTON LIGHTING & POWER S Docket Nos. 50-498 OL COMPANY, ET AL. 5 50-499 OL 5
(South Texas Project, 6 Units 1 and 2) 5 APPLICANTS' SIXTH SET OF INTERROGATORIES AND REQUESTS FOR PRODUCTION OF DOCUMENTS TO CCANP Fursuant to the Licensing Board's June 24, 1982 Memorandum (Memorializing Certain Rulings Announced During Evidentiary Hearing Sessions of June 15-17, 1982), the Licensing Board's Fourth Prehearing Conference Order, dated December 16, 1982, and Sections 2.740b and 2.741 of the Nuclear Regulatory Commission's Rules of Practice, Applicants propound the following Interrogatories.and Requests for Production of Documents to CitizenF Concerned About Nuclear Power, Inc. (hereinafter "CCANP"). Applicants incorporate herein the instructions and definitions set forth in their First Set of Interrogatories and Requests for Production of Documents.
Interrogatories and Requests for Production of Documents
- 1. Does CCANP contend that HL&P failed to comply with any NRC requirement to report any information or finding 8303150394 830310
PDR ADOCK 05000499 6 PDR Db c_=l
I
l contained in the Design Review of Brown & Root Engineering ,
I Work for the South Texas Project prepared by Quadrex Corpora-tion (the "Quadrex Report")?
- 2. If the answer to Interrogatory 1 is affirmative state the basis for such CCANP contention as follows:
(a) If CCANP contends that any information or finding contained in the Quadrex Report was required to be reported by 10 CFR 5 50.55(e), (i) identify each separate item which CCANP contends should have been so reported, (ii) for each such item state which clauses of 10 CFR 6 50.55(e) CCANP contends to be applicable to such item and state the factual basis for CCANP's contention that such clauses apply to such item, and (iii) identify each expert witness that CCANP expects to testify on its behalf with respect to such item.
(b) If CCANP contends that HL&P failed to comply with any NRC reporting requirement other than 10 CFR S 50.55(e) with respect to any information or finding contained in the Quadrex Report, (i) identify each separate item which CCANP contends should have been reported, (ii) for each such item identify the NRC requirement that CCANP contends to be applicable, including a citation to the specific NRC regulation or other NRC authority that contains such requirement, (iii) state the basis for CCANP's contention that such
e 4
requirement applies to such item, and (iv) identify each expert witness that CCANP expects to testify on its behalf with respect to such item.
- 3. Does CCANP contend, for reasons other than those provided in response to Interrogatories 1 and 2, that HL&P's
" commissioning" or " handling" of the Quadrex Report did not comply with NRC requirements?
- 4. If the answer to Interrogatory 3 is affirmative, state the basis for such CCANP contention as follcws:
(a) Identify each alleged HL&P action or failure to act in connection with the handling or commissioning of the Quadrex Report which CCANP contends to have been it, roper.
(b) For each action or failure to act identified in response to Interrogatory 4(a), identify any HL&P officer, employee or agent involved in each such action or failure to act and when such action or failure to act occurred.
(c) For each action and failure to act identified in response to Interrogatory 4(a), identify (i) the NRC requirement or other legal requirement which CCANP contends to have been violated and (ii) the regulation or other legal authority which constitutes authority for the existence of the applicable requirement.
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(d) For each action or failure to act identified in response to Interrogatory 4(a), identify each expert witness that CCANP expects to testify on its behalf with respect to such action or failure to act.
- 5. Does CCANP contend that any statement, finding or conclusion in the Quadrex Report reflected that any aspect of the design or engineering of the South Texas Project or of the manner in which such design or engineering was per-formed failed to satisfy an applicable NRC requirement?
- 6. If the answer to Interrogatory 5 is affirmative, state the basis for such CCANP contention as follows: ,
(a) Identify each aspect of the design or engineer-ing of the South Texas Project or of the manner in which such design or engineering was performed which CCANP contends failed to satisfy an applicable NRC requirement.
(b) For each aspect identified in response to Interrogatory 6(a), (i) identify the NRC requirement which CCANP contends was not satisfied, (ii) state how the design or engineering or the manner in which the design or engineering was performed failed to satisfy such requirement, and (iii) identify each expert witness that CCANP expects to testify on its behalf with respect to such aspect.
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- 7. Does CCANP contend that there are any significant errors, omissions or improper conclusions in the Bechtel report entitled " Final Work Package Report for work package EN-619: Review of the Quadrex Report" (EN-619)?
- 8. If the answer to Interrogatory 7 is affirmative, identify each such error, omission or improper conclusion, state the basis for CCANP's contention that each constitutes an error, omission or is improper, explain why each is significant, and identify each expert witness that CCANP expects to testify on its behalf with respect to such error, omission or improper conclusion.
- 9. Does CCANP contend that Bechtel's analysis of the Quadrex Report, as reflected in EN-619 fails to properly address any significant concern contained in the Quadrex Report? If so, identify each such concern, state the basis for the contention that such concern is not properly resolved, state the resolution which CCANP contends to be appropriate, and the factual basis for such resolution and identify each expert witness that CCANP expects to testify on its behalf with respect to such concern.
- 10. Other than the information provided in response to Interrogatories 8 and 9, does CCANP disagree with any signifi-cant statement, finding or conclusion contained in EN-619?
If so, identify each such statement, finding or conclusion
with which CCANP disagrees, state the basis for such disagree-ment, and identify each expert witness that CCANP expects to testify on its behalf with respect to such statement.
- 11. Does CCANP contend that there are significant errors or omissions in the NRC Staff Investigation Report 82-02 (I&E Report 82-02), concerning the handling of the Quadrex Report or that I&E Report 82-02 fails to properly address any significant concern regarding the handling of the Quadrex Report?
- 12. If the answer to Interrogatory 11 is affirmative, identify each such error, omission or unaddressed concern, state the basis for CCANP's contention that each constitutes an error, omission or unaddressed concern, explain why each is significant, and identify each expert witness that CCANP expects to testify on its behalf with respect to such error, omission or unaddressed concern.
- 13. Other than the information provided in response to Interrogatories 11 and 12, does CCANP disagree with any statement, finding or conclusion contained in I&E Report 82-02? If so, identify each statement, finding and conclu-sion with which CCANP disagrees, state the basis for such disagreement and identify each expert witness that CCANP expects to testify on its behalf with respect to such state-ment, finding or conclusion.
- 14. Does CCANP contend that there are significant errors or omissions in NRC Inspection Report 82-12, related to the review of the Quadrex Report (I&E Report 82-12), or that I&E Report 82-12 fails to properly address any signifi-cant concern contained in the Quadrex Report?
- 15. If the answer to Interrogatory 14 is affirmative, identify each such error, omission and unaddressed concern, state the basis for CCANP's contention that each constitutes an error, omission or unaddressed concern, explain why each is significant, and identify each expert witness that CCANP expects to testify on its behalf with respect to such state-ment, finding or conclusion.
, 16. Other than the information provided in response to Interrogatories 14 and 15, does CCANP disagree with any statement, finding or conclusion contained in I&E Report 82-12. If so, identify each atatement, finding and conclu-sion with which CCANP disagrees, state the basis for such disagreement, and identify each expert witness that CCANP expects to testify on its behalf with respect to such state-ment, finding or conclusion.
- 17. Identify each person CCANP intends to call as an expert witness at the Phase II hearing, for whom CCANP has not provided an identification and summary of testimony in response to Interrogatories 1-16, and state the substance of the testimony of such witness.
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- 18. Identify each person not identified in response to the Interrogatories 1-17 whom CCANP intends to call as a witness at the Phase II hearing and state the substance of the testimony of such witness.
- 19. Identify and produce each cocument upon which CCANP relies as support for its contentions or positions as stated in its response to this sixth set of interrogatories.
- 20. For each Interrogatory herein, identify each person who participated in the preparation of CCANP's response.
Dated: March 10, 1983 Respectfully submitted, LOWENSTEIN, NEWMAN, 6C['4% h ht -/h& f,. 7pp v
Jack R. Newman REIS & AXELRAD, P.C. Maurice Axelrad 1025 Connecticut Ave., N.W. Al, vin H. Gutterman Washington, D.C. 20036 Donald J. Silverman 1025 Connecticut Avenue, N.W.
Washington, D.C. 20036 BAKER & BOTTS Finis E. Cowan 3000 One Shell Plaza Thomas B. Hudson, Jr.
Houston, Texas 77002 3000 One Shell Plaza (713) 229-1234 Houston, Texas 77002 Attorneys for Houston Lighting.&
Power Company, Project Manager of the South Texas Project, acting herein on behalf of itself and the other Applicants, THE CITY OF SAN ANTONIO, TEXAS, acting by and through the City Public Service Board of the City of San Antonio, CENTRAL POWER AND LIGHT COMPANY and CITY OF AUSTIN, TEXAS TBH:17:C
CERTIFICATE OF SERVICE I hereby certify that " Applicants' Sixth Set of Interro-gatories and Requests For Production of Documents to CCANP" have been served on the following individuals and entities by deposit in the U.S. Mail, first class, postage prepaid or by courier delivery where indicated by an asterisk on this loth day of March, 1983.
Tl- h&'
T. B. Hudson, Jr. '
Charles Bechhoefer, Esquire Docketing and Service Section Chairman Office of the Secretary Atomic Safety and Licensing Board U.S. Nuclear Regulatory Commission U.S. Nuclear Regulatory Commission Washington. D.C. 20555 Washington, D.C. 20555 Dr. James C. Lamb, III Mrs. Peggy Buchorn 313 Woodhaven Road Citizens for Equitable Chapel Hill, North Carolina 27514 Utilities, Inc.
Route 1, Box 1684 Brazoria, Texas 77422 Ernest E. Hill Pat Coy Lawrence Livermore Laboratory Citizens Concerned About Nuclear University of California Power P. O. Box 808, L-46 5106 Casa Oro Livermore, California 94550 San Antonio, Texas 78233 Robert G. Perlis Atomic Safety and Licensing Office of the Executive Appeal Board Panel Legal Director U.S. Nuclear Regulatory Commission U.S. Nuclear Regulatory Commission Washington, D.C. 20555 Washington, D.C. 20555 Atomic Safety and Licensing Brian E. Berwick Board Panel Assistant Attorney General U.S. Nuclear Regulatory for the State of Texas Commission P. O. Box 12548 Washington, D.C. 20555 Austin, Texas 78711 Lanny Sinkin
- Mr. Jack Newman 2207-D Nueces Lowenstein, Newman, Reis Austin, Texas 78705
& Axelrad 1025 Connecticut Avenue, NW William S. Jordan, III, Esq.
Washington, D.C. 20036 Harmon & Weiss 1725 I St. N.W.
Washington, D.C. 20006 TH:4:D