ML20058A145

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Responds to NRC Request for Addl Financial Info Re Sources of Funds for sys-wide Const Expenditures During Const of Facility.Affidavit Encl.Encl Withheld (Ref 10CFR2.790)
ML20058A145
Person / Time
Site: Davis Besse  
Issue date: 10/23/1978
From: Roe L
TOLEDO EDISON CO.
To: Kniel K
Office of Nuclear Reactor Regulation
References
NUDOCS 7811010129
Download: ML20058A145 (9)


Text

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TOLEDO October 23, 1978 EDISON LOWELL E. ROE U*2.','$, L,y Docket Nos. 50-500 mei 259-s242 and 50-501 Serial No. 2-136 Director of Nuclear Reactor Regulation Attention:

Mr. Karl Kniel, Chief Light Water Reactors, Branch No. 2 Division of Proj ect }bnagement United States Nuclear Regulatory Commission Washington, D.C.

20555 Gentlemen:

Q This letter is in response to the telephone advice of Mr. Benedict that certain financial information of two of the applicants, The Toledo Edison Company and Duquesne Light Company, required clarification or additional information prior to the report of the NRC being issued on this matter.

The question regarding the applicant Toledo Edison was directed to a recon-ciliation of certain data on schedule 3a submitted on March 10, 1978.

The applicant advises that its interpretation of the preparation of schedule 3a was to display the total funds from internally generated cash and external financing required to meet the construction program and display the other capital requirements separately.

Thia form of presentation is a net financ-ing basis.

The NRC haa advised that this presentation should be on a gross basis.

Toledo Edison is re-submitting schedule 3a to reflect the external financing on a gross basis.

The information previously requested as propri-etary has not been revised and is not being re-submitted.

The question regarding the applicant Duquesne Light regarded the ability of the applicant to meet its obligations with the assumptions made.

Duquesne Light has revised and clarified certain assumptions and is re-submitting

<sr.h2 ule 3a and the related assumptions [ ertain portions of the inf oumivu d

are considered to be proprietary information.

This proprietary information is submitted with this letter together with the affidavit to withhold this information from public disclosure as required by subparagraph (b)(.1) _of Section 2.790 of 10 CFR Part 2.J in n ive copies of use mIuested infouania -

eing ;Mrs = der ceparate creer havc G.c propriccuty informat i nn delete (

If you have any questions regarding this submittal, please contact me.

i P2'O P CMEN v'E E 5 I O A)

Very truly yours, MOA

/7 wracaes u.

h ustre a u reo j

fW Mp444n L Y 90

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