ML20246H178

From kanterella
Revision as of 22:05, 16 March 2021 by StriderTol (talk | contribs) (StriderTol Bot change)
(diff) ← Older revision | Latest revision (diff) | Newer revision → (diff)
Jump to navigation Jump to search

Fowards Direct Testimony of Nk Hunemuller & Ja Zwolinski in Support of NRC 880615 Order & Direct Testimony of WE Flynn & Ej Cone.Nrc Has Also Applied for Issuance of Subpoenas for Ae Talley,L Jambor & N Pardo.W/O Encls
ML20246H178
Person / Time
Site: 05508347
Issue date: 05/09/1989
From: Johari Moore
NRC OFFICE OF THE GENERAL COUNSEL (OGC)
To: Cotter B, Foreman H, Kline J
Atomic Safety and Licensing Board Panel
References
CON-#289-8592 TAC-68699, TAC-68700, NUDOCS 8905160022
Download: ML20246H178 (2)


Text

i4 ~

hh < l!

omcw  !

[f + 'o.,, UNITED STATES

^

g NUCLEAR REGULATORY COMMISSION g g h

c .; c , , , : ; WASHINGTON, D. C. 20555 ge J.TFD d' MAY 0 91989 -

g y y gggge A rS[v5E 0"

,^ tr.cf m ,

B. Paul Cotter, Jr., Chairman Dr. Harry Foreman  % TL

% l Administrative Judge Administrative Judge '

ftomic Safety and Licensing Board 1564 Burton Avenue l U.S. Nuclear Regulatory Commission St. Paul, MN 55108 l Washington, DC 20555 Dr. Jerry R. Kline Administrative Judge 1 Atomic Safety and Licensing Board

_ U.S. Nuclear Regulatory Commission Washington, DC 20555 l

In the Matter of MAURICE P. ACOSTA, JR.

Docket No. 55-08347

Dear Administrative Judges:

Enclosed please find copies of the " Direct Testimony of Neil K. Hunemuller and John A. Zwolinski in Support of the NRC Staff's Order of June 15, 1988" and of the " Direct Testimony of Dr. William E. Flynn and Dr. Edward J. Cone." These documents constitute the Staff's written testimony in the :.bove-captioned proceeding.

In addition, the Staff has applied for the issuance of subpoenas to three individuals: Mr. Albert Eugene Talley of Southern California Edison Co., Dr.

Louis Jambor of SmithKline Bio-Science Laboratories, and Mr. Nissan Pardo of

. Mr. Talley will testify as to Southern Central CaliforniaDiagnostic Laboratory (SCE) programs and policies related to the use of Edison Company's controlled substances; the implementation of those programs and policies at the San Onofre Nuclear Generating Station; and all actions taken by SCE with respect to Mr. Acosta after each of his positive drug tests pursuant to these and any related programs and policies. Dr. Jambor and Mr. Pardo will testify as to the record keeping practices of the laboratories by which they are employed with respect to analyses of drug tests performed by Southern California Edison Company. The information set forth above with respect to Dr. Jambor and Mr. Pardo supplements the Staff's response to Interrogatory 1 of Mr. Acosta's Interrogatories to the Staff. Since these individuals are being subpoenaed, the Staff is unable to file their written testimony.

The Board also requested that the parties attempt to file a stipulation of facts. On April 7, 1989, Staff counsel forwarded a proposed stipulation of facts to Counsel for Mr. Acosta. The Staff has not received any word at all regarding this proposed stipulation, despite a number of attempts to reach Mr.

8905160022 890509 SECY LIC55 05508347 PDR 1 Y6

'I 94

! Acosta's counsel. Therefore, the Staff is unable to submit any stipulation to i the Board.  ;

Sincerely, LDtM C 1, /

Janice E. Moore Counsel for NRC Staff cc w/

Enclosures:

Service List

- _ - _ _ _ _ _ _ _