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r                                                NUCLE AR REGUL ATORY COMMISSION
NUCLE AR REGUL ATORY COMMISSION r
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IN THE MATTER OF:
IN THE MATTER OF:
    't                               DEPCSITION OF PAUL OREFFICE A.
't DEPCSITION OF PAUL OREFFICE A.
Place - Midland, Michigan Date . Monday, 14 May 1979                             Pages 1-75 s
Place -
Midland, Michigan 1-75 Date.
Monday, 14 May 1979 Pages s
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    ,        .                                                                                    1 WEL/Wel 1 UNITED STATES OF A?' ERICA
1 WEL/Wel 1
        ^
UNITED STATES OF A?' ERICA 2
2                          NUCLEAR REGULATORY COMMISSICN 3
NUCLEAR REGULATORY COMMISSICN
4 DEPOSITIOF OF PAUL OREFFICE i
^
5                                                   Cow Center Patrick Road and Abbot Street 6                                                   Euilding 2030 Executive Wing 7                                                   Midland, Michigan Monday, 14 May 1979 8
3 4
DEPOSITIOF OF PAUL OREFFICE i
5 Cow Center Patrick Road and Abbot Street 6
Euilding 2030 Executive Wing 7
Midland, Michigan Monday, 14 May 1979 8
Deposition of PAUL OREFFICE, called for examination at 9
Deposition of PAUL OREFFICE, called for examination at 9
10:35 a.m., pursuant to prehearing conference order of the 10 Atomic Safety and Licensing Board, before Helen M. Rabbage, 11 a notary public in and for the County of Midland, State of 12 Michigan, when were present on behalf of the respective 13   ,
10:35 a.m., pursuant to prehearing conference order of the 10 Atomic Safety and Licensing Board, before Helen M.
d   '
: Rabbage, 11 a notary public in and for the County of Midland, State of 12 Michigan, when were present on behalf of the respective 13 d
14 parties?
parties?
WILLIAM J. OLMSTEAD, Esq., Office of Executive Legal 15             Directer, C. S. Nuclear Regulatory Commissicn, Washington, D..C., en behalf of the NRC Regulatory 16             Staff.
14 WILLIAM J. OLMSTEAD, Esq., Office of Executive Legal 15 Directer, C.
17           WILLIAM C. PO':"IER , Jr., Esq., Fischer, Franklin, Ford, Simon & Hogg, 1700 Guardian Building, Detroit, 18             Michigan;
S. Nuclear Regulatory Commissicn, Washington, D..C., en behalf of the NRC Regulatory 16 Staff.
                                'R. L. DAVIS, Esq., Michigan Division, Legal Department, 19             47 Building, Midland, Michigan 48640; and LESLII F . NU"'E , Esq., Cow Chemical Ccmpany, Midland, 20             Michigan 48640, en behalf of Cow Chemical Ccmpany.
17 WILLIAM C. PO':"IER, Jr.,
21           GERALD C*iAPlICFF, Esq., and ALLEN WEISEARD, Esq.,                  ,
Esq., Fischer, Franklin, Ford, Simon & Hogg, 1700 Guardian Building, Detroit, 18 Michigan;
Shaw, Pittman, Pctts & Trewbridge, 1300 M Streec,                 i 22             N.W., Washinc cn, D. C. 20036, en behalf cf Ccnsumers ?cuer Ccc=any.
'R.
:2 RCNALD G. IAMAPCI, Esq., Isham, Lincoln & 3eale, 24             Cne First Nacicnal Plaza, Chicagc, Illincis 50603, en behalf of Censu=ers ?cwer Ccmpany.
L.
25 Mth     %!%-            acscicut =%cem. A4 4 eed MOR'N CAPfTO L ST1t EZ" oo7 W A S HI N t37C N. O.C. 20001 (202) 347-3700                           [
DAVIS, Esq., Michigan Division, Legal Department, 19 47 Building, Midland, Michigan 48640; and LESLII F. NU"'E, Esq., Cow Chemical Ccmpany, Midland, 20 Michigan 48640, en behalf of Cow Chemical Ccmpany.
21 GERALD C*iAPlICFF, Esq., and ALLEN WEISEARD, Esq.,
Shaw, Pittman, Pctts & Trewbridge, 1300 M Streec, i
22 N.W.,
Washinc cn, D.
C.
20036, en behalf cf Ccnsumers ?cuer Ccc=any.
:2 RCNALD G.
IAMAPCI, Esq., Isham, Lincoln & 3eale, 24 Cne First Nacicnal Plaza, Chicagc, Illincis 50603, en behalf of Censu=ers ?cwer Ccmpany.
25 Mth acscicut =%cem. A4 4 oo7 eed MOR'N CAPfTO L ST1t EZ" W A S HI N t37C N. O.C.
20001 (202) 347-3700
[


9
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_C _O _N T_ _E _N _T _S 2
I 40 s    3               Paul Oreffice                           2 l
WI"' NESS :
64 I
DIRECT CROSS REDIRECT RECROSS n
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Paul Oreffice 2
40 s
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4 69 l
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74 6
74 6
7      ,        EXHIBITS:
EXHIBITS:
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7 e'
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a 3-A 1
a 3-A P _R _O.C.E E _D _I _N _G.S 1
P _R _O .C .E E _D _I _N _G .S
2 MR. OLMSTEAD:
        ^        2 ,                    MR. OLMSTEAD:       On the record.
On the record.
3                       Whereupon, 4                                 PAUL OREFFICE 5         was called as a witness and, having been first duly sworn, s         was examined and testified as follcws:
^
7                       MR. CLMSTEAD:       Mr. Oreffice, I'm William J.
3 Whereupon, 4
a         Olmstead, counsel for the Nuclear Regulatory Commission s         Staff.
PAUL OREFFICE 5
10                       The purposc of this deposition             s a discovery 11         deposition he?     .o prepare #cr a case which has been 12         scheduled for hearings in July of this year, 1979, pursuant 13         to the Nuclear Regulatory Ccemission's Atomic Safety and
was called as a witness and, having been first duly sworn, s
,f         ',        t 14         Licensing Board's prehearing conference crder of May 3, w
was examined and testified as follcws:
15         1979-is                       The issues for that hearing in July are:
7 MR. CLMSTEAD:
17                       (1) Whether there was an attempt by the parties 18         or the attorneys to prevent full disclosure of, er to 19         withhold relevant factual information frcm the Licensing
Mr. Oreffice, I'm William J.
                ;g          Boar *   ' "e suspensien hearings;                                     l l
a Olmstead, counsel for the Nuclear Regulatory Commission s
3                       (2) Whether there was a failure to make affirma- !
Staff.
::          tive full disclosure en the reccrd cf material facts relat-
10 The purposc of this deposition s a discovery 11 deposition he?
:3         ing to Ocw's intentions cencerning performance cf its 24         centract with Consumers; s_-          :s                       (2) We. ether there was an attempt to present f [} f     Qfj f       c-?: 9ede::{ cScyc:t: t.       Occ.
.o prepare #cr a case which has been 12 scheduled for hearings in July of this year, 1979, pursuant 13 to the Nuclear Regulatory Ccemission's Atomic Safety and
                                        '            444 NCR'M CA PtTO L STREET W AS MlMG'C N. 0.0. 20001 i2029 24 h3700
,f t
14 Licensing Board's prehearing conference crder of May 3, w
15 1979-is The issues for that hearing in July are:
17 (1) Whether there was an attempt by the parties 18 or the attorneys to prevent full disclosure of, er to 19 withhold relevant factual information frcm the Licensing Boar *
' "e suspensien hearings; l
;g l
3 (2) Whether there was a failure to make affirma- !
tive full disclosure en the reccrd cf material facts relat-
:3 ing to Ocw's intentions cencerning performance cf its 24 centract with Consumers;
:s (2) We. ether there was an attempt to present s_-
f [} f Qfj f c-?: 9ede::{ cScyc:t: t. Occ.
444 NCR'M CA PtTO L STREET W AS MlMG'C N.
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20001 i2029 24 h3700


      -    ,                                                                              2-B 1    misleading testimony to the Licensing Scard concerning
2-B misleading testimony to the Licensing Scard concerning 1
        -      2     Ccw's intentions; 3                 (4) Whether any of the parties or atterneys 4     attempted to mislead the Licensing Scard concerning the 5     preparation or presentation of the Temple testi=cny; and s                 (5) What sanctions, if any, should be imposed 7     as a result of affirmative findings en any of the above 8     issues.
2 Ccw's intentions; 3
9                           DIRECT EXAMINATICN 10                 BY MR. OLMSTEAD:
(4) Whether any of the parties or atterneys 4
11           Q     On February 2, 1977 you were sworn as c witness 12     on behalf of Dov Chemical Company in the Midland remacd
attempted to mislead the Licensing Scard concerning the 5
        . 13     proceeding in Chicago, Illinois.                   Do you recall appeari.'s
preparation or presentation of the Temple testi=cny; and s
  , (.   '
(5) What sanctions, if any, should be imposed 7
  /           14     and testifying in that proceeding?
as a result of affirmative findings en any of the above 8
w 15           A     Yes, I do.
issues.
16           Q     dave you since had cccasion to review that 17     testi=Ony?
9 DIRECT EXAMINATICN 10 BY MR. OLMSTEAD:
18           A     I have read it, yes.
11 Q
19           Q     Did anycne else assist you in that review?
On February 2, 1977 you were sworn as c witness 12 on behalf of Dov Chemical Company in the Midland remacd 13 proceeding in Chicago, Illinois.
:o           A     What do you mean, did anybcdy assist me?
Do you recall appeari.'s
2:           Q     Was semebody else present that you discussed your' l
, (.
::      testimeny --
/
::          A     Nc, there was not.               When I reviewed it i. nediatel';
14 and testifying in that proceeding?
:4     I reviewed it for anything that might have been incerrect,
w 15 A
:s     and I believe I gave my input en scme misspellings cf things.
Yes, I do.
16 Q
dave you since had cccasion to review that 17 testi=Ony?
18 A
I have read it, yes.
19 Q
Did anycne else assist you in that review?
:o A
What do you mean, did anybcdy assist me?
2:
Q Was semebody else present that you discussed your' l
testimeny --
A Nc, there was not.
When I reviewed it i. nediatel';
:4 I reviewed it for anything that might have been incerrect,
:s and I believe I gave my input en scme misspellings cf things.
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3 1
3 I thiric
I thiric   .:.ebody else might have been present in that sense.
.:.ebody else might have been present in that sense.
I 2      ,                        I have recently reviewed it again by myself.
1 I
'        3 Q     Okay. At transcript page 2688 you testified that i           you were employed by the Dow Chemical Company, President 5                  of Dow Chemical, USA, a member of the Board of Directors 6!                 of Dow Chemical, a member of the Dow Executive Committee, 7                   Finance Committee, and the Public Interest Committea.
I have recently reviewed it again by myself.
8                               Has there been any change in your position with 9                 the Dev Chemical Company since that time?
2 Q
10 l                       A     Yes, there has.         I am now President and Chief i
Okay.
11 i                 Executive Officer of the Dow Chemical Company. Also i
At transcript page 2688 you testified that 3
12
i you were employed by the Dow Chemical Company, President of Dow Chemical, USA, a member of the Board of Directors 5
                      !        Chairman of the Executive Committee.                 I am no longer on the i
6 !
13         '
of Dow Chemical, a member of the Dow Executive Committee, 7
Finance and Public Interest Committees.
Finance Committee, and the Public Interest Committea.
14                                 Thank you.
8 Has there been any change in your position with 9
j             Q 15 Do you recall having read the testimony of ' t.
the Dev Chemical Company since that time?
16 l
10 l A
Temple as presented in that proceeding?
Yes, there has.
17           i           A       . have not read the whole of his testimony.
I am now President and Chief i
18            .
11 i Executive Officer of the Dow Chemical Company. Also i
Several years ago -- I'm talking about 77 -- after the
Chairman of the Executive Committee.
          '9                   thing, I scanned seme of it, but I did not read the whole 20                   thing.
I am no longer on the 12 i
21               ,          G     You testified at page 2689, which I believe is 22              l   the next page there, that the testimony of Mr. Temple and 1
13 Finance and Public Interest Committees.
                            -i 23 i I
14 Q
vcur testi.cny accu ately reflected the Icw cer crate 24                   pcsition as cf that date, Februarf 2,                 1977, 25                         A     That is ccrrect.         With one thing, that I stated Z*     CCTI     $ SrCTs*C,       CC.       l   , . .fe /
Thank you.
j Do you recall having read the testimony of ' t.
15 16 Temple as presented in that proceeding?
l 17 i
A have not read the whole of his testimony.
Several years ago -- I'm talking about 77 -- after the 18
'9 thing, I scanned seme of it, but I did not read the whole 20 thing.
21 G
You testified at page 2689, which I believe is l
the next page there, that the testimony of Mr. Temple and 22 1
-i 23 i vcur testi.cny accu ately reflected the Icw cer crate I
24 pcsition as cf that date, Februarf 2,
: 1977, 25 A
That is ccrrect.
With one thing, that I stated
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20001 1202J 347-3T00


4 i
4 i
I then, that I want to make sure we always keep clear we i
I then, that I want to make sure we always keep clear we i
m 2                  call it a corporate position, but it was the Dow Chemical, 3
call it a corporate position, but it was the Dow Chemical, 2
USA board at the time.       It was not the Dow Chemical Company's corporate board that made these decisions, 5
m 3
because we keep our operating decisions pretty well to 6                 our divisions.
USA board at the time.
7!                             MR. POTTER:     Excuse me just one second. I just 8                 want to clarify for the record -- I'm sure the court 9                reporter has already done so -- but I just want to make it i
It was not the Dow Chemical Company's corporate board that made these decisions, 5
10 !               clear, at the time these questions are coming in, Mr.
because we keep our operating decisions pretty well to 6
11                 Oreffice does have a copy before him of the testimeny that i
our divisions.
ve gave him earlier, and he's making references to it in l
7 !
12 i i
MR. POTTER:
13                 answering the questions.
Excuse me just one second.
l 14                               Go ahead. Thank you.
I just 8
l L-15                               BY MR. OLMSTEAD:
want to clarify for the record -- I'm sure the court reporter has already done so -- but I just want to make it 9
                        )
i 10 !
16 i                      Q     Does the testimony that you are P.ow referring i
clear, at the time these questions are coming in, Mr.
17                 to still currently reflect t2.e Dow USA position?
11 Oreffice does have a copy before him of the testimeny that i
i 18                       A     I don't know if I understand the question.       Does 19                 the testinony still reflect today's position?         Has anything 20                 changed since '77?
l ve gave him earlier, and he's making references to it in 12 i i
21                       C     Right.                                                 !
13 answering the questions.
22               ,
l 14 Go ahead.
A      Well, I can't tell you accurately what changes 72                 have occurred. There's been a new cen_ract siened wich 24                 Censumers Pcwer vnich has nade sene changes, and I have 25                 frankly not followed the details en those because of my s=. n a a=ww.sa 444 uCW?M CA8FCL STME U 444    o07 W A S HIN GTC N. O.C. 20001 (202) 347-3700                       j
Thank you.
l L-15 BY MR. OLMSTEAD:
)
Q Does the testimony that you are P.ow referring 16 i i
17 to still currently reflect t2.e Dow USA position?
i 18 A
I don't know if I understand the question.
Does 19 the testinony still reflect today's position?
Has anything 20 changed since '77?
21 C
Right.
22 A
Well, I can't tell you accurately what changes 72 have occurred.
There's been a new cen_ract siened wich 24 Censumers Pcwer vnich has nade sene changes, and I have 25 frankly not followed the details en those because of my s=. n a a=ww.sa 444 o07 444 uCW?M CA8FCL STME U W A S HIN GTC N. O.C.
20001 (202) 347-3700 j


              !                                                                                      5 I t            new responsibilities over the last year.                     But the e's 2 !           certainly nothing in my tesi.imony in '77 that I've seen i
5 new responsibilities over the last year.
    ~
But the e's I t 2 !
l 3I            that I would wa:.t to change.
certainly nothing in my tesi.imony in '77 that I've seen i
4                   Q     During that testimony of 1977 you indicated that 5             you had ordered a review of the Dow position -- I assume 6             you meant the Dow USA position?
l
7 A     Correct.
~
a                   ,Q   -- with regard to the alternative of purchasing 9             steam frem the Midland Nuclear Power Plant.
3 I that I would wa:.t to change.
10                           When did you order that review?
4 Q
11 MR. PO*:'ER :     Excuse me, Mr. Olmstead.             I want 12             to clarify something.         I think you said you were referring 13             to the Dow position as being the Dow USA position.                     I 1
During that testimony of 1977 you indicated that 5
    /.. 1 -. !          think the review was to review the Dow Michigan Division U-ts              position.
you had ordered a review of the Dow position -- I assume 6
Is                          THE WITNESS:          Well, it was the Dow USA position 17              with reference to the Dow Michigan Division.                    They estab-IF              lished the position.      We Were reviewir y their PGsition.
you meant the Dow USA position?
19                          BY MR. OLMSTEAD:
7 A
:o                    Q      And the question is:                  When did you o. der that i
Correct.
1 21              review?
a
,Q
-- with regard to the alternative of purchasing 9
steam frem the Midland Nuclear Power Plant.
10 When did you order that review?
11 MR. PO*:'ER :
Excuse me, Mr. Olmstead.
I want 12 to clarify something.
I think you said you were referring 13 to the Dow position as being the Dow USA position.
I
I
::           !        A     In September of 1976.
/..
::                    Q     Was that before or fo'. lowing r meeting of the
1 1 -. !
:: j             boarf, the Ocw USA bea-d, concerning One cresentation of
think the review was to review the Dow Michigan Division U-ts position.
                        !  the v'"'"A   Divisicn?
Is THE WITNESS:
25 c :c ac=c=i =,c===.                 an=
Well, it was the Dow USA position 17 with reference to the Dow Michigan Division.
and NCRW O A PN. STM E C 444    999 W A S HI N Q?Q N, 0.0,. 20001 l                                     '2021 34*=J700
They estab-IF lished the position.
We Were reviewir y their PGsition.
19 BY MR. OLMSTEAD:
:o Q
And the question is:
When did you o. der that i
1 21 review?
I A
In September of 1976.
Q Was that before or fo'. lowing r meeting of the
:: j boarf, the Ocw USA bea-d, concerning One cresentation of the v'"'"A Divisicn?
25 c :c ac=c=i =,c===.
an=
444 999 and NCRW O A PN. STM E C W A S HI N Q?Q N, 0.0,.
20001 l
'2021 34*=J700
:l
:l


s     ,    !
s i
i i
i I I A
I I                         A     The review was ordered before.                       The Board met i
The review was ordered before.
        ,  2i                    after, to consider the recommendations of the Michigan 3                     Division.
The Board met i
2 i after, to consider the recommendations of the Michigan 3
Division.
I 4 '
I 4 '
Q     So the decision to order a review was yours 5 '                   alone?
Q So the decision to order a review was yours 5 '
i 6                           A     Essentially.
alone?
7 Q     How did you learn of the Michigan Division's 8!                   position concerning the long-ter= desirability of nuclear i
i 6
A Essentially.
7 Q
How did you learn of the Michigan Division's 8 !
position concerning the long-ter= desirability of nuclear i
9 '
9 '
steam?
steam?
l 10 !                         A     Prom Mr. Temple.
l 10 !
i 11 !                         O     Did you have ar.         other discussions with either i
A Prom Mr. Temple.
12
i 11 !
{          Dow USA personnel or Dow, Midland Division personnel prior i
O Did you have ar.
13                     to ordering a review of the Dow positiin on the nuclear C- f^
other discussions with either i
                          ;
{
14 !                   steam con' tract?
Dow USA personnel or Dow, Midland Division personnel prior 12 i
15                           A     That's 2-1/2 years Tgo.                   I've had a lot of 16 i
13 to ordering a review of the Dow positiin on the nuclear f^
responsibilities. I don't want to give you an answer that's not 100 percent accurate.             I don't remember having an; 17 l H3              '
C-14 !
others except for Mr. Rocke, Mr. David Rooke, who was M3            '
steam con' tract?
present during a discussion I had with Mr. Temple.                         I
15 A
That's 2-1/2 years Tgo.
I've had a lot of 16 responsibilities.
I don't want to give you an answer that's i
17 l not 100 percent accurate.
I don't remember having an; others except for Mr. Rocke, Mr. David Rooke, who was H3 present during a discussion I had with Mr. Temple.
I M3
(
(
20                     reme=ber that.
20 reme=ber that.
l 21                                  But essentially no.               Essentially I looked at the l f
l But essentially no.
22 recccmendations of the Mi higan Division and said that I 23                     thought that a review needed to be done.
Essentially I looked at the l 21 f
24 !,                               But, as I said, 2-1/2 years have gene by, and 25                I   I may have talked te ene of my other 1                       'ng asscciates.
22 recccmendations of the Mi higan Division and said that I 23 thought that a review needed to be done.
                              ;
24 !,
c5:: 3rde: I cRepc::::1.             Snc.
But, as I said, 2-1/2 years have gene by, and I
l} f )  np i
I may have talked te ene of my other 1
'ng asscciates.
25 Snc.
l} f )
c5:: 3rde: I cRepc::::
np bd9 1.
444 as c atTM CA mTO L ST1t E E*
444 as c atTM CA mTO L ST1t E E*
bd9 W A S HIN GTO N. 34 20001 GOU 347-3700
i W A S HIN GTO N. 34 20001 GOU 347-3700


7 s   .
7 s
I i                       O     All right. Who was Mr. Rocke?
I i O
2l                        A     Mr. Rocke at the time -- he's currently President i
All right.
He took my job.           At the time, J                  of Dow Chemical USA.
Who was Mr. Rocke?
4      !            September 1976, I'm not sure if he was already head of 5                  operations, vice president in charge of operations of Dow a                 Chemical USA, or i" he was just assuming that position and 7                 he was still head of our hydrocarbons and energy.
2 l A
8                               In either situation he would have been very t
Mr. Rocke at the time -- he's currently President i
9                 deeply involved.     I don't remember the exact date, because i
J of Dow Chemical USA.
10                  there were several changes in those days occasioned by the
He took my job.
                                        ~
At the time, September 1976, I'm not sure if he was already head of 4
11                   death of one of our top people, 12 !
operations, vice president in charge of operations of Dow 5
t Q     Do you recall what specific guidance you gave to I
a Chemical USA, or i" he was just assuming that position and 7
13         ,
he was still head of our hydrocarbons and energy.
the review g cup?
8 In either situation he would have been very t
I C(-     14 i
9 deeply involved.
A      What specific guidance?           Essentially - well, I l
I don't remember the exact date, because i
  ~
there were several changes in those days occasioned by the 10
15                 don't know what you mean by specific - essentially I 16 Wanted a whole review of the matter, to see whu e we were l
~
17 {           ,
11 death of one of our top people, t
coinc_ .
12 !
18             .
Q Do you recall what specific guidance you gave to I
Q    But you didn't just say do a whole review, you --
13 the review g cup?
19                         A     Well, we had a recen:=endation from the Michigan 20 Division, and I asked them to take a look at the recccmenda-l 21                   tien of Michigan Division to see what our position should 22                   be.
I C(-
::                          O     I have here a doct:nen- which was in the under-24                  lying proceeding, Midland Intervenors Exhibit Nurther 60.
14 A
:5                   "'his is Exhibit CD , which is called " Draft !.EN" which :
What specific guidance?
M  P 1 c:: .7 :c:( 8 :c::ci, $nc.
Essentially - well, I i
un ~cm =Arnet sner-             4 4g was macrc~. :.c. 2ooo, tac 23 u . -a m 44u    }}]-
l 15 don't know what you mean by specific - essentially I
~
16 Wanted a whole review of the matter, to see whu e we were l
17 {
coinc_.
18 Q
But you didn't just say do a whole review, you --
19 A
Well, we had a recen:=endation from the Michigan Division, and I asked them to take a look at the recccmenda-l 20 21 tien of Michigan Division to see what our position should 22 be.
O I have here a doct:nen-which was in the under-lying proceeding, Midland Intervenors Exhibit Nurther 60.
24
:5
"'his is Exhibit CD, which is called " Draft !.EN" which :
c::
.7 :c:( 8 :c::ci, $nc.
M P 1 4g un ~cm =Arnet sner-4 was macrc~. :.c. 2ooo, 44u
}}]-
tac 23 u. -a m


          .      i                                                                             8 I                 believe is Lee F. Nute, " Outline Supplied by Consumers l
i 8
        ,    2i                Power, October 6, 1976," which I'm going to shrw to you, 3
I l
believe is Lee F. Nute, " Outline Supplied by Consumers 2 i Power, October 6, 1976," which I'm going to shrw to you, 3
Mr. Oreffice, and --
Mr. Oreffice, and --
l                       MR. CHARNOFF:         Just one moment, please, while we 3
l MR. CHARNOFF:
Just one moment, please, while we 3
get that out.
get that out.
6 (P ause. )
6 (P ause. )
7                                                   Okay, we have it.
7 MR. CHARNOFF:
MR. CHARNOFF:
Okay, we have it.
i 8
i 8
(Document handed to the witness.)
(Document handed to the witness.)
9 SY MR. OLMSTEAD:
9 SY MR. OLMSTEAD:
10                             I want to go over -- there is a page, and then 0
10 0
11                 there's a number 2, and then there's another page with the 12                 Roman numeral II.       Then,there's a Roman numeral III, then 13                 Roman numeral IV of that testimony.
I want to go over -- there is a page, and then 11 there's a number 2, and then there's another page with the 12 Roman numeral II.
l g- I
Then,there's a Roman numeral III, then 13 Roman numeral IV of that testimony.
      -    14                             The first page of Roman numeral IV -- this was s
l g-I 14 The first page of Roman numeral IV -- this was s
15         '
15 entitled, "Dow Chemical USA Review of Michigan Division 16 Position."
entitled, "Dow Chemical USA Review of Michigan Division 16                 Position."
17 Mr. Oreffice, I'm going to ask you to take a la mcment to read IV-A, Scope of the Review.
17                             Mr. Oreffice, I'm going to ask you to take a la mcment to read IV-A, Scope of the Review.
(Witness reviewing document.)
19                              (Witness reviewing document.)                         !
19 20 A
20                       A     Okay.                                                   j 21                       Q     The. next to the last sentence of that pa agraph
Okay.
                .,          I
j 21 Q
            --            I   says:
The. next to the last sentence of that pa agraph I
i 22                               "The g oup's cenclusions were to be censistene w:. n Ocw's centract cbligations witn Cens=ers Pcwer, I.
I says:
25 l                     and Ccw's censent crder with the Michigan Air Pollution r  ~ r      o
i 22 "The g oup's cenclusions were to be censistene w:. n Ocw's centract cbligations witn Cens=ers Pcwer, I.
                                                    =:: 7:ce=1 CS:ccitc.t. p!r:c
25 l and Ccw's censent crder with the Michigan Air Pollution
                                                          .u wearu opers sTwert         AA wasmnarou.       .c zoooi 4" (202J 347-3700
=:: 7:ce=1 CS:ccitc.t. p r
~ r o
!r:c AA
.u wearu opers sTwert 4"
wasmnarou.
.c zoooi (202J 347-3700


9 4
9 4
1
{
{                Control position."
Control position."
2 i                         Do you recall giving guidance to the group, the i
1 2 i Do you recall giving guidance to the group, the i
3               review group, of that type?
3 l
l i
review group, of that type?
i 4 '                 A     These are the group's conclusions.             I don't see l
i i
5 '            how that has anything to do with my --
4 '
6                   Q     Well --
A These are the group's conclusions.
7                   A     It has nothing to do with the guidance I may I
I don't see l
8             have given them.
how that has anything to do with my --
9                   Q     The paragraph says that you formed an independent 10              review group, and the group was told to conduct an inde-11               pendent review.
5 '
12 A     That is correct.
6 Q
i 13                     Q     And then it says:
Well --
r\     I "The group's' conclusions were to be..." which l
7 A
'            14 '
It has nothing to do with the guidance I may I
15               I take to mean that was some guidance given to the group as 16               to how they were to conduct this review.             My question ir 17               whether you recall giving guidance of that type.
8 have given them.
18                     A     It makes sense, but I don't -- I do not recall 19              2-1/2 years later exactly what the instructions were I had 20               given them.
9 Q
21                     Q     When were you informed of the conclusions of the !
The paragraph says that you formed an independent review group, and the group was told to conduct an inde-10 11 pendent review.
::              review croup?
12 A
22           !        A     I believe tne ::.rst One was at a meet =c c:       -
That is correct.
i 13 Q
And then it says:
r\\
I l
14 '
"The group's' conclusions were to be..." which 15 I take to mean that was some guidance given to the group as 16 to how they were to conduct this review.
My question ir 17 whether you recall giving guidance of that type.
18 A
It makes sense, but I don't -- I do not recall 2-1/2 years later exactly what the instructions were I had 19 20 given them.
21 Q
When were you informed of the conclusions of the !
review croup?
22 A
I believe tne ::.rst One was at a meet =c c:
t i
t i
:t I             the C. S. Area Operating beard that heard the whcle review.
:t I the C. S. Area Operating beard that heard the whcle review.
25 i
25 But, again, if they gave me any advanced nctice of wha:
But, again, if they gave me any advanced nctice of wha:
i A4~
A4~
uIi M
M g
g
g
                                                    - en u.nu mm M          M      g uIi W A S HI N GTC N. 3.C. 10001 l 202) 347-J700                           ,
- en u.nu mm W A S HI N GTC N.
3.C.
10001 l 202) 347-J700


10 1
10 1
j they were going to say, I consider it immaterial, but I i
they were going to say, I consider it immaterial, but I j
2l i just don't remember.
i 2 l just don't remember.
3               C     Did you recall receiving those recommendations i
i 3
4          before or after you met with Consumers Power's personnel 5         concerning the contrcct?
C Did you recall receiving those recommendations i
s'             A     Without looki.ng at a calendar, there's no way I i
before or after you met with Consumers Power's personnel 4
7 ;       can remember the minutiae of what day what happened.
5 concerning the contrcct?
-                I a'             O     Do you still have a calendar from that time
s' A
.          9    '
Without looki.ng at a calendar, there's no way I i
period?
7 ;
10 l         A~   I'm sure I have.
can remember the minutiae of what day what happened.
l 11               Q     Along that same transcript page there, you I
I a'
12         testified that there had been no threats of litigation 13 i        concerning the Dow-Consumers contract from consumers prior N         14      I to September 1976, s
O Do you still have a calendar from that time period?
15               A     What page are you on?
9 l
16               Q     I think it's the next page' 17                     MR. CHARNOFF:               What transcript number?
A~
18                     MR. OLMS"EAD:               Well, it should be about 2692, or 19         is it -947 i
I'm sure I have.
:o                     Here it is.           Page 2692.                                 l 1
10 l
21                     "'HZ iTI"" JESS :         "' hat testimony is correct, to my     j
11 Q
::          kncwledge.                                                                   '
Along that same transcript page there, you I
22                     3Y M2. OUiS"'EAD :
12 testified that there had been no threats of litigation concerning the Dow-Consumers contract from consumers prior 13 i N
24               0   Were you aware of, cr did ycu receive any 25         suggestions fr= Ocnsumers Power that they might sue if Ocw I
I to September 1976, 14 s
O l4b M     y     I
15 A
* A c r::     ::e :1 c me,:c:::.s. m      f c.       7 s   ,
What page are you on?
444 N C pt TM CA Pf706 S T14 E ET
16 Q
                                                    # A S HINGM N. O.C. 20001 (2C2) 3d7 .3700
I think it's the next page' 17 MR. CHARNOFF:
What transcript number?
18 MR. OLMS"EAD:
Well, it should be about 2692, or 19 is it -947 i
:o Here it is.
Page 2692.
l 1
21
"'HZ iTI"" JESS :
"' hat testimony is correct, to my j
kncwledge.
22 3Y M2. OUiS"'EAD :
24 0
Were you aware of, cr did ycu receive any 25 suggestions fr= Ocnsumers Power that they might sue if Ocw I
b O l4 7
M y
I A
c r::
::e :1 c me,:c:::.s. fmc.
s 444 N C pt TM CA Pf706 S T14 E ET
# A S HINGM N. O.C.
20001 (2C2) 3d7.3700


E                                                                               11 i   ,
E 11 i
I failed to support -- to continue to s.pport the contract?
I failed to support -- to continue to s.pport the contract?
2:                   A       Yes, i
2 :
3 Q       Who made those?
A
A     Well, I think if you'll go over this testimony 5
: Yes, i
3 Q
Who made those?
A Well, I think if you'll go over this testimony 5
it'was amply suated, and I'm sure my mind was fresher in i
it'was amply suated, and I'm sure my mind was fresher in i
6
6
                                    '77 on these events than it is today.
'77 on these events than it is today.
7 There were some suggastions -- I heard about it 8     '
7 There were some suggastions -- I heard about it 8
before meeting with Consumers, but then at the meeting we Q
before meeting with Consumers, but then at the meeting we Q
had with Consumers sometime in -
had with Consumers sometime in -
10       '
10 Q
Q      September 24.
September 24.
11
11 A
                          ,              A      - September 24, Mr. Aymond, then Chief 12     i Executive Officer of Consumers Power Company.
- September 24, Mr. Aymond, then Chief 12 Executive Officer of Consumers Power Company.
i 13 I                   Q     And you considered that a t?rcat?
i i
l' r                                         A       I cert:._nly did at the time.
13 I Q
15 i Q     Did you discuss this threat with anyone following 16 the meeting?
And you considered that a t?rcat?
17 A     Ch, I'm sure I did, with my people.
l' r
                  '8 Q     Do you recall anyone in particular?                             !
A I cert:._nly did at the time.
18 A     Nc. I'm guessing now, but I'm sure I must have i
15 i Q
20 discussed it with Mr. Temple and Mr. Rocke.                     Poss2-y with !
Did you discuss this threat with anyone following 16 the meeting?
21
17 A
                                    .t . Nute, but I don't know for sure.
Ch, I'm sure I did, with my people.
l               Q     At any time did Cow censider suing Consumers i
'8 Q
:'      s          under the   cntract?
Do you recall anyone in particular?
A     Yes, we did, as               stated in ny testi en*r in '77.
18 A
i 23
Nc.
                        ;                Q    Were these thoughts ccmnunicated to Censumers?
I'm guessing now, but I'm sure I must have i
20 discussed it with Mr. Temple and Mr. Rocke.
Poss2-y with 21
.t. Nute, but I don't know for sure.
l Q
At any time did Cow censider suing Consumers i
under the cntract?
s A
Yes, we did, as stated in ny testi en*r in
'77.
i 23 Q
Were these thoughts ccmnunicated to Censumers?
l
l
:4   P   I f     A C*?:!
:4 P
* ICCC* 2L CK!rCT*C 1, 64 Neartu c.wrtc6 sTa m f:4".
I f
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VI W AS HI N GTO N. O.4" 20001 (2C21 347 3700
64 Neartu c.wrtc6 sTa m VI W AS HI N GTO N. O.4" 20001 (2C21 347 3700 a
          . - .                --        -  . .-        -.            -                      a


1 12 1
1 12 1
A     I believe so, bus I did not c%unicate it.               I'm 2 ,
A I believe so, bus I did not c%unicate it.
J       not certain.
I'm 2
3 Q     If those thoughts were ec=unicated to Consumers, i
J not certain.
4l  '
3 Q
would vou consider those to be threats?
If those thoughts were ec=unicated to Consumers, i
I 5I                A     Well, maybe a counter -- you can call it a l
4 l' would vou consider those to be threats?
6                                                                                     l counter to a threat.                                                     i 7 !'
I 5 I A
MR. OLMSTEAD:       I want to show Mr. Oreffice a 8                                                                   '
Well, maybe a counter -- you can call it a l
:    memorandum frcm Mr. R.C. Youngdahl to the :iles, dated 9 !
6 l
l     September 16, 1976, and ask him to review t.st, t
counter to a threat.
10 i
i 7 !
              !                  (Document handed to the witness. )
MR. OLMSTEAD:
11
I want to show Mr. Oreffice a 8
              !                  (Witness reviewing document.)
memorandum frcm Mr. R.C. Youngdahl to the :iles, dated 9 !
12 l                       THE WITNESS:       Yes, sir.
l September 16, 1976, and ask him to review t.st, t
13 i
10 i (Document handed to the witness. )
BY MR. OLMSTEAD:
11 (Witness reviewing document.)
ri     14 I' Q     All right. You will note that there are seven i
12 l THE WITNESS:
        '6       i   Dow task force assign =ents listed by Mr. Youngdahl, which i
Yes, sir.
16
13 BY MR. OLMSTEAD:
                ,  the memo indicates were co=unicated to him by Mr. Tample, 17                                                                                     i
i ri 14 I Q
                ;  of the Dow Company.     And Consumers Power was invited to               l 18 cec =ent on the -- quote - legal aspects of the decision, 19 which I assume was the Midland Iow position which was
All right.
      'O cec =unicated to Mr. Youngdahl.
You will note that there are seven i
21 MR. PC'""IR :     Is that your cuestion?
'6 i
      ~,                                                                                       i j               3Y MR. OLMS'"EAD :
Dow task force assign =ents listed by Mr. Youngdahl, which i
23 C     Well, this repc-t f cm Te=cle t               Yeungdahl
16 the memo indicates were co=unicated to him by Mr. Tample, 17 i
      ' .1 indicates that you have appcinted a task fcree which is to l
of the Dow Company.
do seven things, and that Censumers Power is being invited n - r c~:1 .7e:c.:[ = egetch a :.                   ,
And Consumers Power was invited to l
                      ,                      44.4 NC m OAP406 STREET W A S MihGTQ N. 3.0. 20001 1202J 347.J700
18 cec =ent on the -- quote - legal aspects of the decision, 19 which I assume was the Midland Iow position which was
'O cec =unicated to Mr. Youngdahl.
21 MR. PC'""IR :
Is that your cuestion?
~,
i j
3Y MR. OLMS'"EAD :
23 C
Well, this repc-t f cm Te=cle t Yeungdahl
''.1 l
indicates that you have appcinted a task fcree which is to do seven things, and that Censumers Power is being invited n
- r c~:1.7e:c.:[ = egetch a :.
44.4 NC m OAP406 STREET W A S MihGTQ N.
3.0.
20001 1202J 347.J700


j                                                                     13 1
13 j
              ;    to co==ent en the legal aspects of the decision, i
1 to co==ent en the legal aspects of the decision, i
2 Do you feel that that's a correct paraphrase of 2
2 Do you feel that that's a correct paraphrase of 2
I 3l  i the memorandum to files?
I 3 l the memorandum to files?
4 MR. PO"'TER :       Well, I want to object.
i 4
5 MR. OLMSTEAD:           Well, let me - I'll say it.
MR. PO"'TER :
6 !                     BY MR. OLMSTEAD:
Well, I want to object.
7               Q     Item number 2 here says:
5 MR. OLMSTEAD:
Well, let me - I'll say it.
6 !
BY MR. OLMSTEAD:
7 Q
Item number 2 here says:
8
8
                                  " Review the legal aspects of tPe decision, past 9,             present and future.             Consumers Power Company is 10               invited to make comments."
" Review the legal aspects of tPe decision, past 9,
1 11 '                     Do you have any doubt that that's what Mr. Temple 12         cc=municated in this memo?
present and future.
13 i             A       I have no knowledge of Mr. Temple communicating g4     14 to Mr. Youngdahl, whether Consumers Power was invited or
Consumers Power Company is 10 invited to make comments."
-      15       not invited.
1 11 '
Do you have any doubt that that's what Mr. Temple 12 cc=municated in this memo?
13 i A
I have no knowledge of Mr. Temple communicating g4 14 to Mr. Youngdahl, whether Consumers Power was invited or 15 not invited.
i l
i l
16               Q       You didn't have any knowledge that he was going 17 to ask Consumers Power to comment on the legal aspects of 18         the Dow position?
16 Q
19               A       If I did, I do not recall it.
You didn't have any knowledge that he was going 17 to ask Consumers Power to comment on the legal aspects of 18 the Dow position?
2c               Q     Assuming for the moment that Consumers was 2:         invited, pursuant to Mr. Temple's invitation te ec= ment en           I t
19 A
::        the legal aspects of the Dow task force review, and the t
If I did, I do not recall it.
:: i       Ocw-Cens=ers dispute over the cenr act, would it have been
2c Q
:4 l       a f air ass =ptien, given your understanding of the situation .
Assuming for the moment that Consumers was 2:
25 f i in 1975, that Cens=ers would view Dow's abandening the 7e:::al c r:                    Merc::::1. Sn:.
invited, pursuant to Mr. Temple's invitation te ec= ment en I
t the legal aspects of the Dow task force review, and the t
:: i Ocw-Cens=ers dispute over the cenr act, would it have been
:4 l a f air ass =ptien, given your understanding of the situation.
25 f in 1975, that Cens=ers would view Dow's abandening the i
c r:
7e:::al Merc::::1. Sn:.
444 N C R TN C A P 'TC L STREET W A S HIN GTO N. lll.C 20001 1202) 347 3700
444 N C R TN C A P 'TC L STREET W A S HIN GTO N. lll.C 20001 1202) 347 3700


l i      ,
l 1
1
:      nuclear steam project as a breach of contract?
2                    MR. POTTER:    Again, I'm going to object.            You're l
i t
3        asking Mr. Oreffice to co= ment on material that's contained i
4        in a memorandum that apparently was recorded by Mr.
l l
l l
l 5         Youngdahl, who was a Consumers Power Compan'! employee, 6         recording the results of a conversation he had with Mr.
i 1
                ;
1 nuclear steam project as a breach of contract?
7l  !
l 2
Temole.
MR. POTTER:
f 8                     Now, Mr. Oreffice, to my knowledge, did not 9   .
Again, I'm going to object.
part =ipate in that conversation.               I don't see how he can i
You're i
10 :       correctly interpret or pass on anything in th2s memorandum.
t 3
asking Mr. Oreffice to co= ment on material that's contained i
4 l
in a memorandum that apparently was recorded by Mr.
l l
5 Youngdahl, who was a Consumers Power Compan'! employee, 6
recording the results of a conversation he had with Mr.
7 l Temole.
f 8
Now, Mr. Oreffice, to my knowledge, did not 9
part =ipate in that conversation.
I don't see how he can i
10 :
correctly interpret or pass on anything in th2s memorandum.
i i
i i
11 !                   MR. OLMSTEAD:       Well, I note your objection.
11 !
I 12 i       But my concern is if he had knowledge of that comnunication, i
MR. OLMSTEAD:
f 13         if it did occur, whi .:h is subject to later proof.
Well, I note your objection.
      <            ;
I 12 i But my concern is if he had knowledge of that comnunication, i
g'         14 l
f 13 if it did occur, whi.:h is subject to later proof.
MR. PO"rER:     He has just testified he has no i
g' 14 l
l 15         knowledge of what Mr. Temple may ha' a comunicated to i
MR. PO"rER:
16         Consumers Power Company.         I think in pursuing that line of 17 f questioning you're asking him to --
He has just testified he has no i
i 18     i              MR. OLMSTEAD:         I'm asking him to --
l 15 knowledge of what Mr. Temple may ha' a comunicated to i
19 l                   MR. CHARNCET :       May we go off the record?
16 Consumers Power Company.
20                     (Discussion off the record.)
I think in pursuing that line of f
21                     MR. OMS"'EAD :       Back on the record.                       i
questioning you're asking him to --
::                    SY MR. OLMSTEAO:
17 i
23               0   Cid you assign seven cask fcree assignmenrs cc 24         the Ocw review cc " ttee?
18 MR. OLMSTEAD:
25               A   There were several specific points, which I cra. ._=.4,_nd =w=. sx W A S HI NG*O N. 3.0 20001 444    017 (2C2) 3 7 3700
I'm asking him to --
i 19 l MR. CHARNCET :
May we go off the record?
20 (Discussion off the record.)
21 MR. OMS"'EAD :
Back on the record.
i SY MR. OLMSTEAO:
23 0
Cid you assign seven cask fcree assignmenrs cc 24 the Ocw review cc " ttee?
25 A
There were several specific points, which I cra. nd =w=. sx
._=.4,_
444 017 W A S HI NG*O N. 3.0 20001 (2C2) 3 7 3700


15 assume to be correctly seven, assigned to the task force
15 assume to be correctly seven, assigned to the task force 2 l to be done in this review.
        ~
~
2l      to be done in this review.
t
t 3
{
{         Q   And was one of.those task force assignments to l
Q And was one of.those task force assignments to 3
4                                                                                         l l
l l
review the legal aspects of the decision, past, present 5 l     and future?
4 l
review the legal aspects of the decision, past, present 5 l and future?
I i
I i
6               A   Yes.
6 A
t 7 ;                 Assuming that Consumers Power was aware of the t
Yes.
Q l
t 7 ;
8    ;  purpose of the Dow review through a communication with Mr.
Q Assuming that Consumers Power was aware of the t
i 9       Temple, what would you have thought if someone has asked l
l 8
10 . you to ec= ment on the legal aspects of abandening the i
purpose of the Dow review through a communication with Mr.
1 11 i .
i 9
nuc1* ear steam contract, had you been Consumers?
Temple, what would you have thought if someone has asked l
I 12 i             A   I don't know what they think.                     That's not --
10.
13
you to ec= ment on the legal aspects of abandening the i
:          Q    I'm not asking you what they --
1 11 i nuc1* ear steam contract, had you been Consumers?
        .s           t 14                    MR. POTTER:
I 12 i A
        '.          l                                  I'm going to object to your charac-
I don't know what they think.
                    ;
That's not --
15 i     terization of the communication to Consumers Power to be 16       that it was the abandoning of the nuclear stear. Contract.
13 Q
i 17       To my knowledge that's not what was cccmunicated to                               '
I'm not asking you what they --
18 i
t
Consumers Power. I think that's an unfair characterization 19       of what Mr. Tc=ple did.                                                         l i
.s l
20                   But either way, this witness dcesn't knew                           l l
MR. POTTER:
21       anything about that aspect.                                                     ,
I'm going to object to your charac-14 15 i terization of the communication to Consumers Power to be 16 that it was the abandoning of the nuclear stear. Contract.
l 22                   TEI hTII;ISS :       Lcok, it's cbvious, in asking fcr i
i 17 To my knowledge that's not what was cccmunicated to 18 Consumers Power.
22       a review I'm asking for all of the legal aspects of the 24       whole thing. But I knew nothing of what yeu're : ying to 25       lead to.
I think that's an unfair characterization i
                                              ,  m ,          ,
19 of what Mr. Tc=ple did.
O ff* J C f7Jl 0 OCff C                 Cf.
l i
44a    01R" ede N C 8t W CA P !'O I. ST14 EZ*
20 But either way, this witness dcesn't knew l
W A$ MI N GTO N. 3.0.       20001 (2C2) 347470c
l 21 anything about that aspect.
l 22 TEI hTII;ISS :
Lcok, it's cbvious, in asking fcr i
22 a review I'm asking for all of the legal aspects of the 24 whole thing.
But I knew nothing of what yeu're : ying to 25 lead to.
44a 01R m,
O ff* J C f7Jl 0 OCff C Cf.
ede N C 8t W CA P !'O I.
ST14 EZ*
W A$ MI N GTO N.
3.0.
20001 (2C2) 347470c


16
16 t
    .                        t 1
1 BY MR. OLMSTEAD:
BY MR. OLMSTEAD:
I Q
I
Were you aware that Dow Che~ical Corporation and Consumers Power Company were having major disagreements
_                                  Q      Were you aware that Dow Che~ical Corporation and Consumers Power Company were having major disagreements
\\
\
4 over the nuclear steam contract?
4 I
I 5
over the nuclear steam contract?
A Yes, we had for some time talked of redoing the 6
5 A     Yes, we had for some time talked of redoing the 6                                                                                         I contract. The contract has since been changed substantially'.
I contract.
7
The contract has since been changed substantially'.
                              ;
7 Q
Q      And you previously told me in response to an 8l  '
And you previously told me in response to an 8 l earlier question that Dow had considered the possibility 9
earlier question that Dow had considered the possibility 9
of legal suit for breach of contract against Consumers I
of legal suit for breach of contract against Consumers 10     I Power, is that correct?
10 Power, is that correct?
MR. POTTER:         What was the question again?
MR. POTTER:
i 12 i l                   MR. OLMSTEAD:             I think he previously told me i
What was the question again?
13 i
i 12 i l
that he had considered suing Consumers for breach of r                   14      '
MR. OLMSTEAD:
/           ,                        contract.
I think he previously told me i
I 15 1
13 that he had considered suing Consumers for breach of i
                                                  ,v2. POTTER:         Thank vou. -
14 r
l i
/
16
contract.
                              !                    THE WITNESS:           As best I recall, that was after 17
I 15
                              ,      the threat from Consumers Power.
,v2. POTTER:
18     >
Thank vou.
BY MR. OLMSTEAD:
l 1
i 16 THE WITNESS:
As best I recall, that was after 17 the threat from Consumers Power.
18 BY MR. OLMSTEAD:
i i
i i
19                                                                                         i Q     Would it have been reasonable to assume that                   i l
19 i
U where the two parties were in disagreement over the centract, that both parties might view the centract as                     ,
Q Would it have been reasonable to assume that i
i being one which they might sue en?
l U
l i         A     It's possible, but I ve_rf strencly renn~"er l   that all alcng we had been :-fing to renegotiate the i
where the two parties were in disagreement over the centract, that both parties might view the centract as i
e i cor. tract en certain peines, where both sides had changed t     -*m                 ,,    - o
l being one which they might sue en?
                                                                  ~
i A
a  m m
It's possible, but I ve_rf strencly renn~"er l
                  .        ,,                            C'*:** _I C C*.al C H C C*tC~1, $CC,.
that all alcng we had been :-fing to renegotiate the i
                  .p   .xf                                       444 NCRN O A P'?O L ST1t EE*     , ,, g g , ,
e i cor. tract en certain peines, where both sides had changed t
W A S HINGM N, O.C, 20001   ./
-*m
- o a
m C'*:** _I C C*.al C H C C*tC~1, $CC,.
~
m
.p
.xf 444 NCRN O A P'?O L ST1t EE*
,,, g g,,
W A S HINGM N, O.C, 20001
./
(102) 347 370C
(102) 347 370C


                      !                                                                              I'
I' l
                '                                And, of course, as .I             say, this has been l         circumstances.
circumstances.
l 2
And, of course, as.I say, this has been l
done since them.
2 done since them.
3 Let me just add, we're not a litigious company.
3 Let me just add, we're not a litigious company.
:        We'd rather see things settled in an amicable way, and 3
We'd rather see things settled in an amicable way, and 3
discuss the contract, than have any kind of suits.
discuss the contract, than have any kind of suits.
6
6 Q
                        ;            Q    okay. I'd like you to look at the Durand 7
okay.
I'd like you to look at the Durand 7
memorandum to files, September 29, 1976, page 10.
memorandum to files, September 29, 1976, page 10.
i 8l                        (Witness reviewing document.)
i 8 l (Witness reviewing document.)
9 You may want to read the first two lines at the to               bottom of page 9.
9 You may want to read the first two lines at the to bottom of page 9.
11 I                 A     Who is Judd?
11 I A
12 l                 Q     Judd Bacon, an attorney for Consumers Power.
Who is Judd?
13 !                 A     And who is Rex?
12 l Q
O     14 0     Rex Renfrow, an attorney for Const:aers Power.
Judd Bacon, an attorney for Consumers Power.
x                         t L             15 Milt is Milt Wessel.
13 !
16 A     I know Milt.
A And who is Rex?
O 14 0
Rex Renfrow, an attorney for Const:aers Power.
x t
L 15 Milt is Milt Wessel.
16 A
I know Milt.
i 17 How far do you want me to read?
i 17 How far do you want me to read?
18
18 Q
                          ,          Q    Just that paragraph.
Just that paragraph.
19 A     okay.
19 A
20 Q     You'll note that it is stated in those notes
okay.
                'l that, " Milt stated if Consumers Power pushed further on               -
20 Q
t i
You'll note that it is stated in those notes l
22 this info matio. then the parties may get into a situation i
that, " Milt stated if Consumers Power pushed further on t
                ,-          1 where Ocw i= mediately filed suit against Consumers Power."
i 22 this info matio. then the parties may get into a situation i
24                         Would ycu view that as a threat?
1 where Ocw i= mediately filed suit against Consumers Power."
i i
24 i
                -c           1 A     I den't know what, areng lawve s , I den't knew 1  F /
Would ycu view that as a threat?
lf*.
i
                            ;
-c 1
t     '
A I den't know what, areng lawve s, I den't knew lf*.
c~:r   ~aca c ecuci.
1 F /
444 MCRW O A PPOI. S7EP
t c~:r
                                                                                    .c.
~aca c ecuci.
W A S HI PeGTO N. 0.C 20001 (202) 347 370C
.c.
444 MCRW O A PPOI. S7EP W A S HI PeGTO N.
0.C 20001 (202) 347 370C


          .          I                                                                                   yg i
I yg i
1 1 i what you people thought about it.
1 1 i what you people thought about it.
2
2 Q
                      ;                Q    Milt Wessel was authorized to represent Consumers 4
Milt Wessel was authorized to represent Consumers 4
3 Power Company, was he not?
3 Power Company, was he not?
                        \,
\\
4 i
4 i
l MR. POTTER:         He didn't represent Consumers Power.
MR. POTTER:
5 i MR. CLMSTEAD:           I'm sorry.         Dow Chemical.
He didn't represent Consumers Power.
6     .                  THE W TNESS:         Yes.
l 5 i MR. CLMSTEAD:
t
I'm sorry.
                          ;
Dow Chemical.
7!                         I dcn't consider -- you made me read one para-8
6 THE W TNESS:
* graph. I don't consider that a threat.                 I consider it just 9
Yes.
t 7 !
I dcn't consider -- you made me read one para-8 graph.
I don't consider that a threat.
I consider it just 9
statement of fact, as he viewed it.
statement of fact, as he viewed it.
i 10 l                   BY MR. OLMSTEAD:
i l
I 11 Q     Very well.
BY MR. OLMSTEAD:
12 i                         During your testimony before the Licensing Board 13
10 I
                            !    you indicated that if the facts changed Dow might reach a r-                 i 14 different conclusion, and that Dow was keeping its options i
11 Q
Very well.
12 i During your testimony before the Licensing Board 13 you indicated that if the facts changed Dow might reach a r-i 14 different conclusion, and that Dow was keeping its options i
t i
t i
15 l   open to re-review the contract again.
15 l
16         ,
open to re-review the contract again.
Has Dow re-reviewed the contract?
16 Has Dow re-reviewed the contract?
17
17 A
                              ,          A    Yes. There have been substantial changes of the 18 centract since 1977.
Yes.
19 Q     Is Dow satisfied with the current contract?                     i 20                           MR. P C'"'"IR :     I'm going to object.         I redily can't I
There have been substantial changes of the 18 centract since 1977.
21               understand where we're going en this kind of -                               !
19 Q
22 .                         MR. CHAPliOFF :         Can I have it read back?
Is Dow satisfied with the current contract?
I i                                                                               i 23           i              MR. ?CT'"ER :       Again, I wanc to inte pese an 2#                           We've get a 10: Of deposing to de in the next cbjection.
i 20 MR. P C'"'"IR :
i ac three days, and then going at it in the folicwing weeks.
I'm going to object.
C"T:: = .,*::::       C$2yCT!:"4 $CC.
I redily can't I
ng4                         m so m caerreu erwer-
21 understand where we're going en this kind of -
                ./
22.
            /l11f               UcI                         ~ ^ = ~ ~ arc ~ = = ==oa '
MR. CHAPliOFF :
Can I have it read back?
I i
i 23 MR. ?CT'"ER :
Again, I wanc to inte pese an i
2#
cbjection.
We've get a 10: Of deposing to de in the next i
ac three days, and then going at it in the folicwing weeks.
C"T:: =.,*::::
C$2yCT!:"4 $CC.
./
ng4 m so m caerreu erwer-
/l11f UcI
~ ^ = ~ ~ arc ~ = =
 
==oa '
(202) 347-3700
(202) 347-3700


i
i 19 1 i And if we're going to engage in inquiries as to what 2
    .      ,                                                                                  19 1 i And if we're going to engage in inquiries as to what 2
positions the parties have in the present cor. tract - - I I
                    !    positions the parties have in the present cor. tract - - I
3 i
  ''                I 3 '
don't understand that to be the scope of wha : this proceed-4 ing is before the NRC now.
i                        don't understand that to be the scope of wha : this proceed-4
I think it goes back to the 5
                    ;    ing is before the NRC now.             I think it goes back to the 5
preparation of the Temple testimony, at the time of the i
preparation of the Temple testimony, at the time of the                 '
hearing around -- what was it - November 30, December 1andf 6
i 6
7 2, 1976, and Februa:.y 1977.
hearing around -- what was it - November 30, December 1andf 7 '
2, 1976, and Februa:.y 1977.
8 I just really don't see the relevancy of where i
8 I just really don't see the relevancy of where i
8
8 we're going, Bill.
                    ,    we're going, Bill.
10 i MR. 004 STEAD:
10 i MR. 004 STEAD:         Well, I think it's very relevant, but I don't need to make the argument here.
Well, I think it's very relevant, but I don't need to make the argument here.
i 12 l                 MR. POTTER:       Well, okay,             I've made the 13 i   objection.
i 12 l MR. POTTER:
Well, okay, I've made the 13 i
objection.
I
I
( b- -
( b-14 i vou can answer the question, Mr. Oreffice.
14 i' i
i 15 THE WITNET,S:
v ou can answer the question, Mr. Oreffice.
Would you re-read the question?
15                   THE WITNET,S:         Would you re-read the question?
16 :
16 :
l               (Whereupon, the reporter read from the record, 17 '
l (Whereupon, the reporter read from the record, 17 '
as requested.)
as requested.)
18     '
18
                                    *HE WI* NESS:         Well, it's a better contract than
*HE WI* NESS:
              '9 it used to be. I think our people are satisfied with it               ,
Well, it's a better contract than
1 20 as it is now, yes. But I do not know that.                           !
'9 it used to be.
I think our people are satisfied with it 1
20 as it is now, yes.
But I do not know that.
21 3Y MR. CUDS"' TAD :
21 3Y MR. CUDS"' TAD :
22 Q     Eas any emnicyee of Ocw suggested cc you since 23 your testimeny before the Nuclear Regulat y Cc:=issicn i
22 Q
Eas any emnicyee of Ocw suggested cc you since 23 your testimeny before the Nuclear Regulat y Cc:=issicn i
2#
2#
that ane der cor crace review is in order?
that ane der cor crace review is in order?
              '~
e A
e A     No.
No.
A    ~
'~
                                                  '    l
A l
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A
44 N C it 'M CA Pf*01. S'4EET W AS HI N GTO N. 3.C. 200C1
~
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44 N C it 'M CA Pf*01. S'4EET W AS HI N GTO N.
3.C.
200C1
@2) 247-3700


20 1
20 l
l                Q   At transcript page 2694 you testified concerning i
Q At transcript page 2694 you testified concerning 1
2            the meeting on September 24 with members of Consumers Power 3
i 2
the meeting on September 24 with members of Consumers Power 3
Company.
Company.
4!                       Yot- indicated that you remembered very clearly i
4 !
5 one part of that meeting that was important to you, and s           that was when Mr. Aymond said that if the plant was not 7 !         ready to supply Dow by 1984 Consumers would let Dow off 1
Yot-indicated that you remembered very clearly i
8     ,
5 one part of that meeting that was important to you, and s
the hook.
that was when Mr. Aymond said that if the plant was not 7 !
9 You also testified as to one of Consumers' 10 f     lawyers objecting to that.
ready to supply Dow by 1984 Consumers would let Dow off 1
l 11                       Then you said you asked your people to follow up 12       ,
8 the hook.
on that.
9 You also testified as to one of Consumers' f
lawyers objecting to that.
10 l
11 Then you said you asked your people to follow up 12 on that.
i l
i l
13                       Who did you ask to investigate that?
13 Who did you ask to investigate that?
(C'   _
(C' 14 A
14 A   My best guess -- and it's a guess -- is that I 15           asked -- I first asked, I remember asking mic of the lawyers, i
My best guess -- and it's a guess -- is that I 15 asked -- I first asked, I remember asking mic of the lawyers, i
16 I         and I don't know if it was Hanes or if it was Nute - one 17           of our lawyers, well, what does this all mean?                 Because I 18           thought Mr. Aymond was making a legitimate offer in good 19 i         faith, and it was obvious that he greatly upset his lawyers. I 20                       And so I remember asking our lawyers why were 21           his lawyers upset, and they gave me an explanation, which                 ,
16 I and I don't know if it was Hanes or if it was Nute - one 17 of our lawyers, well, what does this all mean?
l ! frankly dcn't exactly reme.ber.                 And I asked semebody in 73 I       ,
Because I 18 thought Mr. Aymond was making a legitimate offer in good 19 i faith, and it was obvious that he greatly upset his lawyers. I 20 And so I remember asking our lawyers why were 21 his lawyers upset, and they gave me an explanation, which l
the creur., either the lan_ ers, er Joe Te ele, er semebcdy 1
! frankly dcn't exactly reme.ber.
24 I         vhc was dealine directle with Cens mer: ?cwer, to follcw .:p .
And I asked semebody in 73 I the creur., either the lan_ ers, er Joe Te ele, er semebcdy 1
I 25 ;                 O   Co you recall any conclusions frem that felicw-up?
24 I vhc was dealine directle with Cens mer: ?cwer, to follcw.:p.
_.                    I f i} (;           ) b*
I 25 ;
                              ')             5::- 3rd:::! rSerc::eu, .0c:.
O Co you recall any conclusions frem that felicw-up?
* w NCRN C A PTTC b STit EET W A S MENGTC N. O.C. 20001 6202) 347-3700 1
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) ')
5::- 3rd:::! rSerc::eu,.0c:.
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* w NCRN C A PTTC b STit EET W A S MENGTC N. O.C.
20001 6202) 347-3700 1


i                                                                                               21  i 1
21 i
i               A     Well, the next thing I heard is that instead of i
i 1
2               le,tting us off scot free, I'd have to say, which is what i,
i A
'        '    3
Well, the next thing I heard is that instead of i
                    ,        Mr. Aymond was i= ploying, there was a big amount of cash 4
2 le,tting us off scot free, I'd have to say, which is what i,
involved. And I tcu'.ified to that in 1977.
3 Mr. Aymond was i= ploying, there was a big amount of cash 4
5 1              0     Did you receive any conclusions from that follow l
involved.
6     '
And I tcu'.ified to that in 1977.
5 0
Did you receive any conclusions from that follow 1
l 6
up in any kind of written communicacicn?
up in any kind of written communicacicn?
7                   A     You mei.n a conclusion frcm our people?
7 A
8                         Right, Q
You mei.n a conclusion frcm our people?
i 9 '                 A     Not that I can recall.
8 Q
i 10                     O     Did that suggestion frem Mr. Aymond that he i
: Right, i
11               would let Dow off the hook by 1984 lead you to push for l
9 '
12               any concessions or any other terms in the renegotiated 13               contract?
A Not that I can recall.
  <          14       i            A     No, because between the time he made this
i 10 O
    '~~
Did that suggestion frem Mr. Aymond that he i
15               suggestion and the time they came back with what they --
11 would let Dow off the hook by 1984 lead you to push for l
16       ;      their interpretation about it, was videly different in i
12 any concessions or any other terms in the renegotiated 13 contract?
17 !             my mind.
14 A
18                           So the renegotiated centract now has a cutoff Q
No, because between the time he made this i
19               date, is that correct?
15 suggestion and the time they came back with what they --
                                                                                                          ;
'~~
20                     A     "' hat was considerably later.             You're talking       ,
16 their interpretation about it, was videly different in i
21               about later when the con _ract was renegotiated?               I'm sure i
17 !
22 i       l that it must have been brcught up when they -- again,               I' l
my mind.
                              ' awing conclusiens because I wasn't in en any cf these 2           ;    negotia: Lens.
18 Q
i 25 j                   Q     Okay. If you'll lock at c anscript page 2706 1
So the renegotiated centract now has a cutoff 19 date, is that correct?
i
20 A
                          ;                        s    ,- r       .-            g
"' hat was considerably later.
                  >          n t.
You're talking 21 about later when the con _ract was renegotiated?
c ::- :e c::1 =R::=:ca. sac 7                         444 NCftm OAPTTOL STM E C W A S HI N GU N. 3.0 20001 t2cM 347 3700
I'm sure i
22 i that it must have been brcught up when they -- again, I'
l l
' awing conclusiens because I wasn't in en any cf these 2
negotia: Lens.
i 25 j Q
Okay.
If you'll lock at c anscript page 2706 1
i s
,- r g
c ::- :e c::1 =R::=:ca. sac n
t.7 444 NCftm OAPTTOL STM E C W A S HI N GU N. 3.0 20001 t2cM 347 3700


i   ,
22 i
                '                                                                              22 1 I and 2707, you testified that the suggestion of a inusuit i
1 I and 2707, you testified that the suggestion of a inusuit i
2^
2 ^
by Consumers Power came before the corporate review, yet 3
by Consumers Power came before the corporate review, yet 3
s after the time.when the Midland Division h.id recommended i
after the time.when the Midland Division h.id recommended s
4 abandoning the nuclear steam option.
i 4
abandoning the nuclear steam option.
5 Is that a correct su=ms y of what you were 6
5 Is that a correct su=ms y of what you were 6
saying there?
saying there?
7
7 MR. CHARNOFF:
                  !                  MR. CHARNOFF:         Could I have that question read a
Could I have that question read a
back?
back?
9 i MR. OuiS*EAD:         Just let me repeat it.
9 i MR. OuiS*EAD:
Just let me repeat it.
I 10 He testified on cross-examination that the 11 'i suggestion of the lawsuit by Consumers Power occurred 12 I at the September meeting which he attended, which, I take t
I 10 He testified on cross-examination that the 11 'i suggestion of the lawsuit by Consumers Power occurred 12 I at the September meeting which he attended, which, I take t
13 :
13 :
l     it, to be the September 24 meeting, which came before the
l it, to be the September 24 meeting, which came before the
  -  [_   14 corporate review,*yet after the time when the Midland i
[_
14 corporate review,*yet after the time when the Midland i
m.
m.
            ,g Division had recommended abandoning the nuclear s Sam i
,g Division had recommended abandoning the nuclear s Sam i
16     ;
16 option.
option.
17 THE WITNESS:
17 THE WITNESS:       As I testified here, it came 18 during this corporate review.               It was during the time the 19                                                                                     i task force was in operation.             But it was certainly before   I
As I testified here, it came 18 during this corporate review.
          ~c '
It was during the time the 19 i
task force was in operation.
But it was certainly before I
~c '
we met to hear the results of the task force.
we met to hear the results of the task force.
21                                                                                     I BY MR. CRIS TrAD:                                           l O   Wi.s this the first time that you -- the i
21 I
          ~,
BY MR. CRIS TrAD:
i   September 24 meeting the first time that yo               were aware of suggestions of lawsuits by Censumers under the centract?
l O
          ~~
Wi.s this the first time that you -- the i
            =
~,
A   Directly, yes, althcuch prcbably a couple of d::- 3ede=I =Rcc:ters, Sc.:
i September 24 meeting the first time that yo were aware of suggestions of lawsuits by Censumers under the centract?
4.d.4 NORTH C A PTTO L. SM EIT 444    025              W A S HI N GTO N . % 20001 (2011 347.J7tlr -
=
~~
A Directly, yes, althcuch prcbably a couple of d::- 3ede=I =Rcc:ters, Sc.:
444 025 4.d.4 NORTH C A PTTO L.
SM EIT W A S HI N GTO N. % 20001 (2011 347.J7tlr -


        ,                                                                                          23
[
[
1 days before I'd heard something from one of our people --
23 1
2!   i again, I don't reme=ber who it was -- that there might i I       such a thing in the air.
days before I'd heard something from one of our people --
l 4!                 Q     When the corporate review position, the', was 5           presented to the members of the Dow board, do you recall 6           what your recommendations were with regard to the
2 !
: 7.           conclusions reached by the review group?
again, I don't reme=ber who it was -- that there might i i
l 8i                A     Well, *e task force made its review to the i
I such a thing in the air.
9           whole management co=mittee of Dow USA, which is ccmposed 10 l          cf quite a few people.
3 l
i 11     :                  Then the Dow USA board retired into a separate 12       ,      room to take the reco=mendations of the task force under 13 j
4 !
advisement. And the recommendation of the task force, I O             l A           14 l           believe I testified two years ago, was that if the costs                     ,
Q When the corporate review position, the', was 5
i-1 15       ;
presented to the members of the Dow board, do you recall 6
were, indeed, $1,670,000,000, with a startup date by i
what your recommendations were with regard to the 7.
l 1s             March of 1982, that the nuclear power alternative was still I
conclusions reached by the review group?
17 l           the most satirfactory alternative for the M.ichigan Divisicn.
l 8 i A
i is !                 Q     Then it would be fair to conclude that the 19             basis of the decisicn was primarily econcmic?
Well, *e task force made its review to the i
9 whole management co=mittee of Dow USA, which is ccmposed cf quite a few people.
10 l i
11 Then the Dow USA board retired into a separate 12 room to take the reco=mendations of the task force under advisement.
And the recommendation of the task force, I 13 j
O l
A 14 l believe I testified two years ago, was that if the costs i
1 15 were, indeed, $1,670,000,000, with a startup date by i
l 1s March of 1982, that the nuclear power alternative was still I
17 l the most satirfactory alternative for the M.ichigan Divisicn.
i is !
Q Then it would be fair to conclude that the 19 basis of the decisicn was primarily econcmic?
I
:r A
No, I don't think you can make that single 21 conclusion, and if you review mv 77 testimony it was time and again asked whether the th eat of litigation was an 1
i i
:: l i.pc-ant censide ation or not, and I testified then -
I
I
:r                  A      No, I don't think you can make that single 21              conclusion, and if you review mv                  77 testimony it was time ,
:: l and I haven't introved in two vears -- that I ius: canne:
::          1  and again asked whether the th eat of litigation was an i
25 divorce the two things, becauSe I was given a bunch cf 4
i
m 1
:: l        I i.pc- ant censide ation or not, and I testified then -
A
:: l           and I haven't introved in two vears -- that I ius: canne:
%7Cf* -.< D C [ C I C C U l U.
25             divorce the two things, becauSe I was given a bunch cf 4   m     1     .*  A
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2000f 3
i202) 3d7-3100


24 i
24 i
1I          data that said, here are the econcmics, and here's the 2
1 I data that said, here are the econcmics, and here's the 2
l       threat of a S600 million litigation.                     And the decision was 3 '
l threat of a S600 million litigation.
t made based on the whole cackace of information.
And the decision was 3 '
4 i j                     I cannot conclude what I might have thought if 5
made based on the whole cackace of information.
t 4 i j
I cannot conclude what I might have thought if 5
one of those things was not present.
one of those things was not present.
sl
sl Q
              ;
Was Mr. Wessel present. at that board meeting?
Q        Was Mr. Wessel present. at that board meeting?
7 j
7 j         A         Not in the board where we made the conclusion.
A Not in the board where we made the conclusion.
~
~
8     i At the presentation from the task force he might have been.
8 i
At the presentation from the task force he might have been.
i I don't remember.
i I don't remember.
10
10 Q
                ,        Q        Did you have a dis               ssion with Mr. Wessel or i
Did you have a dis ssion with Mr. Wessel or i
11 Mr. Nute concerning how the Dow beard reached their i
11 Mr. Nute concerning how the Dow beard reached their i
12 !         decision?
12 !
13 A         I don't remember.             I just - it's two years, n             l
decision?
' ^(   14
13 A
                !  I just .   . . if you tell ne I had one, you're probably 1
I don't remember.
l 15 :         right. But I just don't remember, 16 l Q         Do, or did, the other members of the Dow USA 17 !
I just - it's two years, l
                ;  board generally follow your advice and recommendations on 18 ;
n
^(
14 I just.
if you tell ne I had one, you're probably 1
l 15 :
right.
But I just don't remember, 16 l Q
Do, or did, the other members of the Dow USA 17 !
board generally follow your advice and recommendations on 18 ;
such matters?
such matters?
1s A         Well, it wasn't just mine.                 It was a conclusion 20 of the group.     It wasn't my decision.                 I didn't arrive at 2'
1s A
this decision by a 51 percent vote.                     It was a decision cf the Icw USA beard.       And in general I chink - I think it
Well, it wasn't just mine.
                  ]
It was a conclusion 20 of the group.
      ~~
It wasn't my decision.
                  ; was a unanimcus decisien, if I rememcer ccrrectly.
I didn't arrive at 2'
this decision by a 51 percent vote.
It was a decision cf
]
the Icw USA beard.
And in general I chink - I think it was a unanimcus decisien, if I rememcer ccrrectly.
~~
i
i
      'd O       Was anybcdy en the bea-d critical cf                 he review
'd O
      -e g cup 's conclusiens or the Mif r.d Divisien conclusions?
Was anybcdy en the bea-d critical cf he review
a    -            >    m 444     027     c"=       ~i === S=
-e g cup 's conclusiens or the Mif r.d Divisien conclusions?
444 027 c"= ~i=== S=
a m
l w genm cae'Th sTn tr*
l w genm cae'Th sTn tr*
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W AS MIPe G1 3.0 2000%
                                                        !202) 347-3700
!202) 347-3700


I 25 1
I 25 1
A     No, not that I can remember.
A No, not that I can remember.
              ;
2 i
2                              You testified during those hearings that Joe o
o You testified during those hearings that Joe 3
i 3
Temple did not have a piece of data available to him that 4 f was available to you, and that was the threat of litigation.
Temple did not have a piece of data available to him that 4f                was available to you, and that was the threat of litigation.
5 i
5     i Do you recall that?
Do you recall that?
A     No. I uhink that's wrong.           I den't think I 7
A No.
i       testified to that.
I uhink that's wrong.
a                             I'll tell you what I think I did testify to.
I den't think I 7
i testified to that.
a I'll tell you what I think I did testify to.
i 1
i 1
9!               Joe Temple did not have a piece of data when he first made 10                                                                                   I got his recommendation.     He got his data one at a time.
9 !
11 those two pieces of data together to make a decision.
Joe Temple did not have a piece of data when he first made 10 his recommendation.
12
He got his data one at a time.
:                  I think this is the difference, because if you 13 !               ask me can you make a decision purely on economic grounds,
I got 11 those two pieces of data together to make a decision.
,--QO                I t    without t?e threat of litigation, he could have because 15                 that was his first step.           He didn't know about litigation t
12 I think this is the difference, because if you 13 !
ask me can you make a decision purely on economic grounds, O
I
,--Q without t?e threat of litigation, he could have because t
15 that was his first step.
He didn't know about litigation t
19 at the time.
19 at the time.
l 17                             But I didn't, because I got           two pieces of data 18 together.
l 17 But I didn't, because I got two pieces of data 18 together.
IS                             To your knewle'ge had either veu           er :t. Temple Q                                            -                  t a
IS Q
        '0 recuested legal advice frem Dew's attorneys concerning                 l t
To your knewle'ge had either veu er :t. Temple t
i 21                 Cow's respensibilities and obligations under the centract?             l 1
a l
22                         A     Well, that's what the legal review was all abcut.
'0 recuested legal advice frem Dew's attorneys concerning t
22 !               The fact there was a task force for legal review, was whac
i 21 Cow's respensibilities and obligations under the centract?
          ''              l  Cur chil. *aci ;ns Were 'O. der the cen' Tact, of CcOS'.0".GO s '
l 1
          -c
22 A
          '~
Well, that's what the legal review was all abcut.
Cbligations. You have te gut it in cente.'C"..         This is a s   c-- r     a   m g
22 !
i   02              444   c       OA     =
The fact there was a task force for legal review, was whac l
                                                        ..._.m.=_
Cur chil. *aci ;ns Were
'O. der the cen' Tact, of CcOS'.0".GO s '
-c Cbligations.
You have te gut it in cente.'C"..
This is a
'~
s c--
r a
m g
02 i
444 c
OA
=
..._.m.=_
U402) 3474700 l
U402) 3474700 l


        '                                                                                          26
26
            'l 1
'l 1
            ,            plant that was originally supposed to be on stream i.n the I,
plant that was originally supposed to be on stream i.n the I
2               mid seventies, and we were now already talking of 1982, 1
2 mid seventies, and we were now already talking of 1982, 1
3 l         and there had been continuous delays, some which we felt 4
l and there had been continuous delays, some which we felt 3
may have been Consumers' faulu, some which were the fault 5             of the whole regulatory process and the intervenors, and 6             so forth.
may have been Consumers' faulu, some which were the fault 4
7 But the fact was that we were trying to find cut 8             what all alternatives were and what the legal position was, i
5 of the whole regulatory process and the intervenors, and 6
i
so forth.
-          9 '            I think that's a prudent businessman's attitude towards 10             scmething.
7 But the fact was that we were trying to find cut 8
I 11 '                 Q       And weren't you advised that there was a risk i
what all alternatives were and what the legal position was, i
12             of litigation for breach of contract if Dow attempted to 13               terminate its agreement with Consumers?
i I think that's a prudent businessman's attitude towards 9 '
f 14 I
10 scmething.
A      Well, we didn't intend to just up and terminate 15               an agreement for no goed reason.                   So I don't think I ever I
I 11 '
i 16         ;    got any advice on that point, because that was not the
Q And weren't you advised that there was a risk i
                      ;
12 of litigation for breach of contract if Dow attempted to 13 terminate its agreement with Consumers?
l 17 l   attitude. We felt there might be cause for terminating it.
f 14 A
18                   Q       I show you a document that's captioned Intervenors 19               Exhibit Number 7.     This is another memo to files from                   ;
Well, we didn't intend to just up and terminate I
I 20               a Consumers person by the name of Mr. Keeley.
15 an agreement for no goed reason.
l 21                           MR. POT"ER:       This is a memorandum dated March             i 22              4, 19 76 frem M: . Keeley to file, with copies to Youngdahl, l
So I don't think I ever I
i 23 j             Ecwell .  ..
i 16 got any advice on that point, because that was not the l
24 !         .
l attitude.
MR. CHAE';CFF :       May I look cver your shoulder?
We felt there might be cause for terminating it.
I 25                            733 W--',;ESS :     Do you want me to read -he whcie 444     029         d= 3='c=! =*===' D*
17 18 Q
e44 NCRTW OA p f7C I,, m EET W A S HINGTC M. 3.C. 20001 (101) 3d7-3700
I show you a document that's captioned Intervenors 19 Exhibit Number 7.
This is another memo to files from I
20 a Consumers person by the name of Mr. Keeley.
l 21 MR. POT"ER:
This is a memorandum dated March i
l 4,
19 76 frem M:. Keeley to file, with copies to Youngdahl, 22 i
23 j Ecwell.
24 !
MR. CHAE';CFF :
May I look cver your shoulder?
I 733 W--',;ESS :
Do you want me to read -he whcie 25 444 029 d= 3='c=! =*===' D*
e44 NCRTW OA p f7C I,,
m EET W A S HINGTC M.
3.C.
20001 (101) 3d7-3700


      '      t                                                                                   27 1 i' thing?
t 27 1 i thing?
            ?
?
i 2   '
i 2
MR. OLMSTEAD:
MR. OLMSTEAD:
            ,                                            Yes, I would like you to read fs 3
Yes, I would like you to read fs 3
over here to item -- through item g.
over here to item -- through item g.
4 l                   (Witness reviewing document.)
4 l
i 5i                      BY MR. OLMSTEAD:
(Witness reviewing document.)
6 i                     This is a document which shows a meeting Q
i 5 i BY MR. OLMSTEAD:
7 between certain Consumers Power personnel and Dow personnel 8
6 i Q
This is a document which shows a meeting 7
between certain Consumers Power personnel and Dow personnel 8
regarding the Midland-Dow contract.
regarding the Midland-Dow contract.
-        9i                      In attendance at that meeting was Mr. Joe l
9 i In attendance at that meeting was Mr. Joe l
10 I           Temple.
10 I Temple.
i 11 Item g. on page 2 indicates there was talk about i
i 11 Item g. on page 2 indicates there was talk about i
12 l     the threat of litigation due to delays in Joe's letter has i
12 l
the threat of litigation due to delays in Joe's letter has i
13 to be removed at the end of the negotiation.
13 to be removed at the end of the negotiation.
r-           l 14 I                     In light of that knowledge of Mr. Temple's
r-l 14 I In light of that knowledge of Mr. Temple's
    /             ,
/
15
participation in that meeting, and the reference there to 15 1
                  !    participation in that meeting, and the reference there to 1
18 l
18 l   the threat of litigation by Dow, do you think it's 17 reascnable to conclude that Mr. Temple hadn't considered I
the threat of litigation by Dow, do you think it's 17 reascnable to conclude that Mr. Temple hadn't considered I
18 threats of litigation between Consumers and Dow when he 19 reached the Midland Divisien position following the Court 20             of Appeals remand in July, 1976?
18 threats of litigation between Consumers and Dow when he 19 reached the Midland Divisien position following the Court 20 of Appeals remand in July, 1976?
i 21 A     Well, you're asking me to conclude frem --                       i 22 MR. PC C R:       Excuse me.             Before you answer, I'm 22 gcing to object. If I unders ,-d               tha: me.orandum, it
i 21 A
        ''          l i refers to seme alleged threat Of litigatien, but ne: b-1 c
Well, you're asking me to conclude frem --
i 22 MR. PC C R:
Excuse me.
Before you answer, I'm 22 gcing to object.
If I unders
,-d tha: me.orandum, it l
i refers to seme alleged threat Of litigatien, but ne: b-1 c
Consumers against Ocw, but maybe the 0-her way.
Consumers against Ocw, but maybe the 0-her way.
4   F f         s   a C**:**   7C*2C*:1 CK rC7         *.1, f:C.
4 F f s
4   030                       - - m i .x m W A S HI N GTC N, 2.0 20001 l202) 347 3700
a C**:**
7C*2C*:1 CK rC7
*.1, f:C.
4 030
- - m i.x m W A S HI N GTC N, 2.0 20001 l202) 347 3700


28 i
28 i
1l                              MR. OIE_ STEAD :     Right, it's by Dow against 2                   Consumers, in that particular memorandum, f
1 l MR. OIE_ STEAD :
3                               MR. PO'"TER :     And is your question to Mr.
Right, it's by Dow against 2
4                  Orc fice, though, is he correct in his earlier statement l
Consumers, in that particular memorandum, f
5                  that since Joe Temple didn't have Consumers' threat of 6                 litigation against Dow before him at the time he made the 7                 decision, still a correct decision?                 Is that what you asked 8                 him?
3 MR. PO'"TER :
i
And is your question to Mr.
  -          9                              MR. OLMSTEAD:         What I was asking him is, if it's 10                  in the mind of one of his executive officers of the Dow 11                 Corporation to the point where he is considering litigation 12                 against Consumers Power Cc=pany, and obviously I would 13 }                 assume seeking legal advice in regard to it, is it reasonable
Orc fice, though, is he correct in his earlier statement 4
        ;
l 5
14                   to conclude, using a reasonable > man standard, I'm not i
that since Joe Temple didn't have Consumers' threat of 6
15        !        asking him to speak for Joe Temple - we'll ask Mr. Temple i
litigation against Dow before him at the time he made the 7
16         j       later - that he would not have considered the threat of 17
decision, still a correct decision?
                        !      countersuit by Consu=crs Power Cc=pany.
Is that what you asked 8
18 l                 MR. POTTER:       I'm going to, for the record, just 19                 object, because really you're putting a reasonable-man 20                 standard, but you're asking Mr. Oreffice to testify as to 21                 whether Mr. Temple =ight have really censidered that.                 And I
him?
i 9
MR. OLMSTEAD:
What I was asking him is, if it's in the mind of one of his executive officers of the Dow 10 11 Corporation to the point where he is considering litigation 12 against Consumers Power Cc=pany, and obviously I would 13 }
assume seeking legal advice in regard to it, is it reasonable 14 to conclude, using a reasonable > man standard, I'm not i
asking him to speak for Joe Temple - we'll ask Mr. Temple 15 i
16 j
later - that he would not have considered the threat of 17 countersuit by Consu=crs Power Cc=pany.
18 l
MR. POTTER:
I'm going to, for the record, just 19 object, because really you're putting a reasonable-man 20 standard, but you're asking Mr. Oreffice to testify as to 21 whether Mr. Temple =ight have really censidered that.
And I
l
l
            = l                 th'at's the net effect of what you                 estion is, whether i
= l th'at's the net effect of what you estion is, whether i
23 l ycu put it that way er not.                           And I Object, because Mr.
23 l ycu put it that way er not.
24             -l   Oreffice certainly is not, and wculd be the fir t Oc say, an 25                 exne_. on what goes en in M.r. Te=nle's mind.
And I Object, because Mr.
                                                      &::- 3rde :! 0::c::::1, Scc.
24
f f f;  Q)}                44.4 NCRTN CA Pir. L 5?#EET W ASHIN GF,N. 2.0 20001 (202J 347 3700
-l Oreffice certainly is not, and wculd be the fir t Oc say, an 25 exne_. on what goes en in M.r. Te=nle's mind.
Scc.
f f f; Q)}
&::- 3rde :! 0::c::::1, 44.4 NCRTN CA Pir. L 5?#EET W ASHIN GF,N. 2.0 20001 (202J 347 3700


i     ,    !                                                                                29 I                                 With that in the record, rather than taking any 2l                  more time, go ahead.
29 i
I With that in the record, rather than taking any 2 l more time, go ahead.
/
/
3 !
3 !
THI: WI:"ESS :     Well, I think that if --
THI: WI:"ESS :
4     '
Well, I think that if --
BY MR. OLMSTFAD:
4 BY MR. OLMSTFAD:
5                               Let me put it this way:
5 Q
Q 6     '
Let me put it this way:
Had you been in that meeting and made a threat i
6 Had you been in that meeting and made a threat i
7 of litigation to Consumers Power Company, would you, before 8
7 of litigation to Consumers Power Company, would you, before 8
you had gone to such a meeting, have considered the 9l                threat of litigation against you, a countersuit by Consumers l
you had gone to such a meeting, have considered the 9 l threat of litigation against you, a countersuit by Consumers l
10 -l              Power Company?
l 10 -
l 11 l                       A     Well, I think you're taking the whole thing 12                 completely out of context.             You're talking about a 13                   litigation-- I don't know what they're talking about here.
Power Company?
c T
l 11 l A
14                  You're =aking me read s'emething which might be a litigation 15I                 for $10 million.
Well, I think you're taking the whole thing 12 completely out of context.
i 16 1
You're talking about a 13 litigation-- I don't know what they're talking about here.
The question before, and what we were talking 17                   about, is a very specific threat of $600 ::illion litigation 1
c You're =aking me read s'emething which might be a litigation 14 T
la             ,    by Censumers Power, which I had to contend with in making 19                   a decisien, which Mr. Temple, to my cest knowledge, didn't 20                   knew abcut at the time he made his original recc=mendation.
15I for $10 million.
I 21                                 I don ' t know if we ' re tal'<inc about -- what i
i 16 The question before, and what we were talking 1
:                  we're talking abcut here.             Cer ainly, if anybcdy knew a
17 about, is a very specific threat of $600 ::illion litigation 1
3 anytnr.g re: ore those days that there was any-hing ine a i
la by Censumers Power, which I had to contend with in making 19 a decisien, which Mr. Temple, to my cest knowledge, didn't 20 knew abcut at the time he made his original recc=mendation.
24                   560C million pessibility, I didn't knew any-hing ateur it.
I 21 I don ' t know if we ' re tal'<inc about -- what i
25                   And to my knculedge Mr. Te.7 1e di ^ '* know anything arcut c5: - 3:d:-:l cR:rc::::1. Ox
we're talking abcut here.
                                                            -=cmemms,=m e 4 i   O, T h         W A S HINGTO N. 2.0. 20001 449       UJL                   <mo mmco
Cer ainly, if anybcdy knew anytnr.g re: ore those days that there was any-hing ine a a
3 i
24 560C million pessibility, I didn't knew any-hing ateur it.
25 And to my knculedge Mr. Te.7 1e di ^ '* know anything arcut Ox c5: - 3:d:-:l cR:rc::::1.
-=cmemms,=m e 4 i O, T h W A S HINGTO N.
2.0.
20001 449 UJL
<mo mmco


30 1
30 1
I             it.
I it.
2                             What is the amount of the liability of Cow under Q
2 Q
      '    3 the contract?     Assuming the contract is reasonable performed,
What is the amount of the liability of Cow under 3
                  ;
the contract?
how much money is Dow Chemical Company talking about?
Assuming the contract is reasonable performed, how much money is Dow Chemical Company talking about?
5 A   That is a question that cannot be answered that i
5 A
6l              Way, because in the first place to the best of my knowledge 7
That is a question that cannot be answered that i
:        the amount of liability continues to change.               It's been a 8               changing thing. What it was in 1976 is considerably 9
6 l Way, because in the first place to the best of my knowledge 7
.                              different from what it is in 1979.
the amount of liability continues to change.
i 10                             Well, I 1.nderstand that.             But hcw - are you
It's been a 8
                      ,              Q 11               talking ab ,ut spending S10 million, or several hundred 12               mi. lion dollars , or -
changing thing.
i 13 i                     A     This plant started out where the whole plant
What it was in 1976 is considerably 9
  -(-
different from what it is in 1979.
14         '
i 10 Q
was going to cost $250 millim.                 So you have to put 15               yourself - you know, it's very easy to look back today, 16               with all the vision we have in 1979, to figure out what 17               things might have been.       But the fact is, this has been a i
Well, I 1.nderstand that.
18               changing and moving thing.
But hcw - are you 11 talking ab,ut spending S10 million, or several hundred 12 mi. lion dollars, or -
l 19                             Now, you shewed me a piece of paper.             I don't 20                 know what the hell it means.               The delays in Joa's letter -
i 13 i A
l 21                 has to be .     ." I don't even know what this means.                   !
This plant started out where the whole plant
-(-
14 was going to cost $250 millim.
So you have to put 15 yourself - you know, it's very easy to look back today, 16 with all the vision we have in 1979, to figure out what 17 things might have been.
But the fact is, this has been a i
18 l
changing and moving thing.
19 Now, you shewed me a piece of paper.
I don't 20 know what the hell it means.
The delays in Joa's letter l
21 has to be.
." I don't even know what this means.
22 I den't know if they're talking abcut litigation 4
22 I den't know if they're talking abcut litigation 4
22                cf tr.e whole contract, if they're talking abcut a little l
l cf tr.e whole contract, if they're talking abcut a little 22 i
i 24 i             piece Of it.
24 i piece Of it.
l 25                             I knew that in cur mind, as I stated before, c ::. '. ee c=l = % cn ai, D==
l 25 I knew that in cur mind, as I stated before,
em m. x mm a
'. ee c=l = % cn ai, D==
                                          "              W AS MTNG9 N. 04. 20001 (202J 347 3700
c ::.
[1(f
em m. x mm W AS MTNG9 N. 04. 20001 a
[1(f (202J 347 3700


e     ,
31 e
                '                                                                                  31 i
i l
1 l              we were trying to settle the contract - this letter also --
we were trying to settle the contract - this letter also --
2 i
1 2
since you have introduced it, I insist on giving you --
since you have introduced it, I insist on giving you --
.e               .
i
3 you made me read this - this letter also c'.early indicates i
.e 3
4                a desire to negotiate and not to litigate - clearly i
you made me read this - this letter also c'.early indicates i
5                indicates that this is what was being tried at the time.
a desire to negotiate and not to litigate - clearly 4
t 6
i 5
* Now, also there was a suggestion on a specific i
indicates that this is what was being tried at the time.
7 f        point, which I don't know what it's about, of a litigation.
t Now, also there was a suggestion on a specific 6
.                    i.
i f
a,               But the whole approach was to try to settle this in an 9               amicable fashien. And up to the time of this meeting on 10 i              September 24, that's the way I had hoped things would go.
point, which I don't know what it's about, of a litigation.
11                       Q     When did Dow originally expect to be drawing i
7 i.
12 !               steam from the Midland nuclear plant?               -
a, But the whole approach was to try to settle this in an 9
amicable fashien.
And up to the time of this meeting on September 24, that's the way I had hoped things would go.
10 i 11 Q
When did Dow originally expect to be drawing i
12 !
steam from the Midland nuclear plant?
I i
I i
13 A     I believe the original date was 1976.             I may
13 A
'    -    14                  be off by a year or so.
I believe the original date was 1976.
l 15                        Q     so would it be fair to say that Dow was not li 16                 happy about the delay?
I may l
be off by a year or so.
14 l
Q so would it be fair to say that Dow was not 15 i
16 happy about the delay?
l l'
l l'
A     No, but there had been a new --
A No, but there had been a new --
i I
i I
18 :                     Q     No, it wouldn't be fair to say that?
18 :
19 A     Yes, it would be fair to say that.             It would be 20                 very "*i- *o say that we were very unhappy about all the               i l
Q No, it wouldn't be fair to say that?
21                 delays.
19 A
:: i                     Q     Since you- testi=cny in 1977 have ycu had an
Yes, it would be fair to say that.
            ' '                accasien te meet with P.r. Aymond of Consumers Pcwer en I
It would be 20 very "*i- *o say that we were very unhappy about all the i
2"               { this T.atter?
l 21 delays.
25                       A     No, I have net, i
:: i Q
                                ,I f             5:: ?:N::d S:rc :::4.               $n#
Since you-testi=cny in 1977 have ycu had an accasien te meet with P.r. Aymond of Consumers Pcwer en I
end MCR*M O A Pf*C L, STMEg*
2"
W A S HINGTO N. O 0. 10001 (2C2) 347 2700
{
this T.atter?
25 A
No, I have net, i
f 5:: ?:N::d S:rc :::4. $n#
,I end MCR*M O A Pf*C L, STMEg*
W A S HINGTO N. O 0.
10001 (2C2) 347 2700


32 1
32 1
Q       Have you -
Q Have you -
2  $
A Excuse me.
A       Excuse me.     You said since 1977?
You said since 1977?
-                l 3!                 Q       Since your testimony.               That was February, 1977.
2 l
                    ;
3 !
            -      ;
Q Since your testimony.
4                          To make sure, when did Mr. Selby become chief l            A 5
That was February, 1977.
executive of Consumers Power?                 I believe that was shortly s'           after that. At that time I did talk to Mr. Aymond -- I 7
l A
think that's the only time -- on the telephonc.                   But I 8             talked to him at the time of the change in uneir management.
To make sure, when did Mr. Selby become chief 4
.              9 '         But I had no substantial discussion with him.
5 executive of Consumers Power?
10 '
I believe that was shortly s'
i O     Have you had the occasion to discuss the Dow-11             Consumers contract wit?1 other Consumers Power of ficials since 12 !           that time?
after that.
13         ,        A     At the time Mr. Selby became chief executive --
At that time I did talk to Mr. Aymond -- I 7
    , . .              I
think that's the only time -- on the telephonc.
  .                    I
But I 8
/       -    14             again, I think it was shortly after that'-- we talked in 15             great generalities on the telephone.                   From everything I 16             unferstood from our people, he was known to be a reasonable l
talked to him at the time of the change in uneir management.
17 i
9 '
man, and I talked to him over the phone to say, hey, can l
But I had no substantial discussion with him.
18            we get this contract settled to the satisfaction of both 19         , parties?   We both agreed that se would name our very best 20             people to a negotiating te'am, and really +27 to hammer out                   l l
i 10 '
21             a new agreement that was satisfactory to both pa_Mies.                         j i
O Have you had the occasion to discuss the Dow-11 Consumers contract wit?1 other Consumers Power of ficials since 12 !
22                           And that's what happened.
that time?
              ~J                   O     And that was early 1977?
13 A
24                 A       I would have to know when he became chief
At the time Mr. Selby became chief executive --
:5             executive. I was verf shornly after.               I don't know if it
I I
                                                                    ,    n s  - i c-~:
/
                                                        .7ece::] .cNt: cit::.<, $nc.
14 again, I think it was shortly after that'-- we talked in 15 great generalities on the telephone.
eed ** C R TM CAPtTh. STM EET W AS HI NGTO N. lll.C. 20001 (2C2) 3dh3700
From everything I 16 unferstood from our people, he was known to be a reasonable l
i man, and I talked to him over the phone to say, hey, can 17 18 l
we get this contract settled to the satisfaction of both 19 parties?
We both agreed that se would name our very best 20 people to a negotiating te'am, and really +27 to hammer out l
l 21 a new agreement that was satisfactory to both pa_Mies.
j i
22 And that's what happened.
~J O
And that was early 1977?
24 A
I would have to know when he became chief
:5 executive.
I was verf shornly after.
I don't know if it c-~:
.7ece::].cNt: cit::.<, $nc.
s
- i n
eed ** C R TM CAPtTh. STM EET W AS HI NGTO N. lll.C.
20001 (2C2) 3dh3700


    *    '      1 i
1 33 i
33 1
1 early, late -- but it was sometime in that period of time.
                  ,              early, late -- but it was sometime in that period of time.
~
2    -
2 In fact, it could have been before the Chicago hearings, i
      ~
3 although I don't think so.
                  -              In fact, it could have been before the Chicago hearings, i
3
                  ,            although I don't think so.
4 The one fact I remember is he had been chief 5
4 The one fact I remember is he had been chief 5
                    '            executive for a very short time.
executive for a very short time.
6                             Did you have occasion to discuss with any O
6 O
i 7I                personnel involved in the Dow contract or in preparing 8                 material for the Nuclear Regulatory proceedings regarding i
Did you have occasion to discuss with any i
9       '
7 I personnel involved in the Dow contract or in preparing 8
the Dow contract- the question of who would appear as 10 I               witnesses on behalf of Dow Chemical Company.
material for the Nuclear Regulatory proceedings regarding i
i 11 !                     A     You're u lkine about in 1976?
9 the Dow contract-the question of who would appear as 10 I witnesses on behalf of Dow Chemical Company.
I 12                             Right, for these hearings.
i 11 !
Q i
A You're u lkine about in 1976?
l 13                             Discuss it with Dow people?
I 12 Q
i            A f                     .
Right, for these hearings.
            '4          i Q     Right, as to who the Dow people should be to l
i l
15 i               testify in the Nuclear Regulatory Cocnission hearings.
13 i
i 16                       A     Well, I testified in 1977, I think, to that l
A Discuss it with Dow people?
i 17 ',               effect. Yes, I did have some meetings with them.
f 4
                          ;
i Q
18                                                                         With Dow people?
Right, as to who the Dow people should be to l
                          ,                MR. CHARNOFF:         Excuse me.
15 i testify in the Nuclear Regulatory Cocnission hearings.
i 16 l
A Well, I testified in 1977, I think, to that i
17 ',
effect.
Yes, I did have some meetings with them.
18 MR. CHARNOFF:
Excuse me.
With Dow people?
l 19 TEE WITNESS: Yes.
l 19 TEE WITNESS: Yes.
20                             MR. CHA?JTOFF :       Not with Cons =ers people?
20 MR. CHA?JTOFF :
I, 21                             m3r ;c NESS:       With both. We11, no, I didn't have 22 l                 any aeetings with the Consumers people, althcugh I think.
Not with Cons =ers people?
I 22 I                 I testified in 1977 shcut seme suggestions which were uade
I, 21 m3r ;c NESS:
                .            i
With both. We11, no, I didn't have 22 l any aeetings with the Consumers people, althcugh I think.
            '-              i   during the meeting of Sept e er 24 by Censumers pecple.
I 22 I I testified in 1977 shcut seme suggestions which were uade i
:s l
i during the meeting of Sept e er 24 by Censumers pecple.
444     036         a= w =%=~ = Dx and NCRTH CA PtTO L ST1t E ET W A S HI N GTO N. 3.0. 20001 (202) 347-37CC
:s l 444 036 a= w =%=~ = Dx and NCRTH CA PtTO L ST1t E ET W A S HI N GTO N. 3.0.
20001 (202) 347-37CC


8 I
8 34 I
34 l
l 1 i BY MR. OLMSTEAD:
1 i                           BY MR. OLMSTEAD:
1 2
1 2                       Q     You testified, I believe, that you got an 1
Q You testified, I believe, that you got an 1
3                 impression that Consumers wanted an unknowledgeable witness?
3 impression that Consumers wanted an unknowledgeable witness?
i 4                       A     That is correct.
i 4
5    '
A That is correct.
MR. CHARNOFF:         Could I have that read back, 6                 please?
MR. CHARNOFF:
7                             (Whereupon, the reporter ::ead from the record, 8                 as requested.)
Could I have that read back, 5
I
6 please?
7 (Whereupon, the reporter ::ead from the record, 8
as requested.)
I 9
BY MR. OLMSTEAD:
~
~
9                            BY MR. OLMSTEAD:
10 Q
10                       Q     How did you obtain that impression?
How did you obtain that impression?
11 !                     A     Well, I don't remember, obviously, that these i
11 !
12 ',       ,      were the exact words used.           But I think there was a statement i
A Well, I don't remember, obviously, that these i
13                 that the best witness to go for Dow might be somebody who 14           i wasn't really that familiar with the whole thing.             And I 15                 remember getting very upset about it.
12 ',
were the exact words used.
But I think there was a statement i
13 that the best witness to go for Dow might be somebody who 14 wasn't really that familiar with the whole thing.
And I i
15 remember getting very upset about it.
I i
I i
16                             Subsequent to that I had discussions with our
16 Subsequent to that I had discussions with our 17 !
                      ;
people, and I think you could probably say that I raised 18 some hell with our people to make sure that we sent the 19
17 !               people, and I think you could probably say that I raised 18                 some hell with our people to make sure that we sent the
=ost knowledgeable witness, which I thought was Mr. Temple, 20 because inasmuch as I'm concerned any time we are testifying i
.      19                =ost knowledgeable witness, which I thought was Mr. Temple, 20                 because inasmuch as I'm concerned any time we are testifying i
21 to scmething, we want tc send the mest kncwledgeable witness.!
21 a
a
to scmething, we want tc send the mest kncwledgeable witness.!
:2 So I wonder why I'm testifying.
:2                             So I wonder why I'm testifying.           I'm not the 1
I'm not the 1
::                  most knowledgeable witness in this whole area.
most knowledgeable witness in this whole area.
::                              (Laughter.)
(Laughter.)
25                       Q     You were present when cemecne frc= Censumers s
25 Q
                            -                  c r:2 .Te.:c.d
You were present when cemecne frc= Censumers c r:2.Te.:c.d =Rercuci,.On:
                                                      -i
s
                                                                    =Rercuci, .On:
-i 2 44 037
2   44     037                 _ _ ,_ .a . .,
_ _,_.a..,
w a s MIN CTO N. D.C. 2000t                     i 12C22 347.J700                           l
w a s MIN CTO N. D.C.
2000t i
12C22 347.J700 l


35
35 lI 1
        . lI 1   '
r s.i.?ing Consumers Power expressed that desire?
_swer at r. r s.i.?ing Consumers Power expressed that desire?
_swer at r.
1 2                                                 That was September 24 at the
1 2
: 7. Yes, I was.
7.
i 3h              meet 2g.
Yes, I was.
4 Q     Did you check this out with any other Consumers 5
That was September 24 at the i
3 h meet 2g.
4 Q
Did you check this out with any other Consumers 5
Power people, or follow up or it in any way, to see if that 6
Power people, or follow up or it in any way, to see if that 6
was --
was --
7 A     I personally did not.
7 A
8 I
I personally did not.
Q      Oka?.
8 Q
9                         At page 2726 you testified that if the Consumers-i 10 ~             Dow contract did not come into being, that there was 11               uncertainty concerning whether Dow would continue to 12 l       operate units in Midland because of the competitive
Oka?.
          '3               advantage that Dow might have in other areas of the 14 i      country, such as Louisiana or Texas.
I 9
\s_-               I 15       ;                  Has there been any intervening circumstance 18             which would change that testimony?
At page 2726 you testified that if the Consumers-i 10 ~
i 17 '                 A     No. As a matter of fact, there have been maybe 18             circumstances to prove that point, because we have had a 19 continuing debate, as I'm sure you are awr.re, with State and 20               Federal air authorities, on whethcr we can continue to l.
Dow contract did not come into being, that there was 11 uncertainty concerning whether Dow would continue to l
21               burn coal under our system.                   And we have stated verv 22              cle arly that if we don't get scme relief in July of this l
operate units in Midland because of the competitive 12
22             year when the new amendments af the Clean Air Act go into 24             effect, we will be laying off scrething like 200 to 1000 l
'3 advantage that Dow might have in other areas of the 14 country, such as Louisiana or Texas.
25 people and shu :ing scme uni?.s                   '-  v4''and.
i
                                                    ,    .- r c- :: .7e.:c-c[                     e S c c:* :t. J:::.
\\s_-
eed NCRTM OA P'TOL 57 EZT 444      08                  W A s pet M GTO N. 3.1 20001 i2C2J 347-3700 t
I 15 Has there been any intervening circumstance 18 which would change that testimony?
i 17 '
A No.
As a matter of fact, there have been maybe 18 circumstances to prove that point, because we have had a 19 continuing debate, as I'm sure you are awr.re, with State and 20 Federal air authorities, on whethcr we can continue to l
21 burn coal under our system.
And we have stated verv l
cle arly that if we don't get scme relief in July of this 22 22 year when the new amendments af the Clean Air Act go into 24 effect, we will be laying off scrething like 200 to 1000 l
25 v4''and.
people and shu :ing scme uni?.s
.- r e
c- ::.7e.:c-c[ S c c:* :t. J:::.
444 08 eed NCRTM OA P'TOL 57 EZT W A s pet M GTO N. 3.1 20001 t
i2C2J 347-3700


                ,                                                                                          36
36
        *      \
\\
            '                          Q      At the time the corporate review team determined li 2
At the time the corporate review team determined l
l             that Dow should continue to support Consumers on the 3                   contract were you or any members of the Dow management,                   to
Q i
                  ;
l that Dow should continue to support Consumers on the 2
your knowledge, anticipating that the revised contract 5                  nee otiations which were then ongoing would alleviate the i
3 contract were you or any members of the Dow management, to your knowledge, anticipating that the revised contract nee otiations which were then ongoing would alleviate the 5
6 problem that you testified you saw in the contract which 7      '
i problem that you testified you saw in the contract which 6
1 was a lack of a fixed te mination date?
was a lack of a fixed te mination date?
We definitely expected negotiations to improve
7 1
-                    +
A We definitely expected negotiations to improve
8         ;                A 9
+
i several points in the contract which, under the circum-10 i
8 several points in the contract which, under the circum-9 i
stances of starting in 1982, and the current costs and so i
i 10 stances of starting in 1982, and the current costs and so i
1 11 !                 forth, were unbearable on the contract.
1 11 !
forth, were unbearable on the contract.
l 12 -
l 12 -
t At the same time, Consumers Power wanted some f
At the same time, Consumers Power wanted some t
13          j        things on their side.         And so we felt, yes, that there
f j
      ,                  ;
things on their side.
14 l      were severv     points that could be negotiated.
And so we felt, yes, that there 13 l
l x
were severv points that could be negotiated.
15 l                         Q     so you reasonably expected that you would get 16                     a termination date?
14 l
i, 17 l                         A     Yes, I would say that I -- well, you asked me i
x 15 l Q
13                     when, when did I reasonably --
so you reasonably expected that you would get 16 a termination date?
19           ,              Q     Well, that's the next cuestion, when?
i, 17 l A
20                            A    I certainly did, after .ir.           '  Aymond made the i
Yes, I would say that I -- well, you asked me i
i 2'                     statement he did in our =eeting.
13 when, when did I reasonably --
19 Q
Well, that's the next cuestion, when?
after.ir. Aymond made the 20 A
I certainly did, i
i 2'
statement he did in our =eeting.
(
(
22                             Q   Which was the same meeting when they made One 23 i              i threat?
22 Q
24                           A     Yes.
Which was the same meeting when they made One 23 i threat?
25                           ;    And you testified that it was               he fixed ta =ina-tion date that was,Off.erad ,byJir. Aymc,nd that was mcre c't:     ~ :c:.' M:rc::as,1,/ce, add NCm?w OAP!TOL snge W A SHING*O N. :: C. 20001
i 24 A
                                /                                   _,-                                          ,
Yes.
25 And you testified that it was he fixed ta =ina-tion date that was,Off.erad,byJir. Aymc,nd that was mcre c't:
~ :c:.' M:rc::as,1,/ce, add NCm?w OAP!TOL snge W A SHING*O N. :: C.
20001
/


i     .
37 i
37 1I                important, to your mind?
1 I important, to your mind?
i 2                       A     Well, Mr. Aymond made a very clear statement, i
i 2
3!                 and what I felt was a very honest statement, that he l
A Well, Mr. Aymond made a very clear statement, i
I 4    '
3 !
cons dered -- my interpretation of his statement, if I may, 5                 although I don't remember the exact words, is that he was 6                 saying it would be unreasonable to keep you tit                         J a i
and what I felt was a very honest statement, that he l
7     '
I cons dered -- my interpretation of his statement, if I may, 4
contract if the plant were to not be started forever, i
5 although I don't remember the exact words, is that he was 6
1 8 '               essentially, and you have a deadline, and that's 1984, and 9               I consider it reasonable to let you out by a certain date.
saying it would be unreasonable to keep you tit J a i
                      ;
7 contract if the plant were to not be started forever, i
l 10 l                           And I must say, we keep saying 1984, and I i
1 8 '
11 '               don't remember if it was January 1 or December 31, 1984, at 12                 this time. But it was -- and you know, I felt t'iat               . that was 13                 an honest statement that he made on his belief.                       And, as
essentially, and you have a deadline, and that's 1984, and 9
/   %
I consider it reasonable to let you out by a certain date.
      '                        I say, his lawyer jumped up and said you can't do that.
l 10 l And I must say, we keep saying 1984, and I i
14 l
11 '
\_                       !
don't remember if it was January 1 or December 31, 1984, at 12 this time.
15                 And I had to ask why of our people later.
But it was -- and you know, I felt t'iat that was 13 an honest statement that he made on his belief.
16                     Q     Okay. Now, that was an impcrtant piece of data 17           ;    to you -                                                         .
And, as
                                                                                                                      ;
/
18           ,          A~     Ch, yes.
14 l I say, his lawyer jumped up and said you can't do that.
19         ,
\\_
Q      -- the fact that the Chairman of Consumers would 20                 see that as a reasonable te             ination date.                                 !
15 And I had to ask why of our people later.
16 Q
Okay.
Now, that was an impcrtant piece of data 17 to you -
18 A~
Ch, yes.
19 Q
-- the fact that the Chairman of Consumers would 20 see that as a reasonable te ination date.
i i
i i
21                     A     Yes.                                                                       l 22                     Q     So in 11ght of that, and in light of the threat i
21 A
23 ;               of litigation as you ca.e away from tha                     meeting , was you:-
Yes.
24                 general belief that you had improved matters, natters had
l 22 Q
:5               remained unchanged, or matters --
So in 11ght of that, and in light of the threat i
                                                    . e ,                            ,
23 ;
C'*:2* IZ2 C 2             Z:MT   "1, lOC.
of litigation as you ca.e away from tha meeting, was you:-
444     040             - ~
24 general belief that you had improved matters, natters had
                                                                      " .0.
:5 remained unchanged, or matters --
e,
C'*:2* IZ2 C 2 Z:MT "1,
lOC.
444 040
- ~
".0.
W A S HI N GTO N. 3 20001 (202) 3474700 1
W A S HI N GTO N. 3 20001 (202) 3474700 1


                !                                                                                          38 1
38 1
A
A
* lou mean right after the September 24 meeting?
* lou mean right after the September 24 meeting?
    ~'
~'
21                                  Right.
2 1 Q
                  ,                    Q 3                                                                   But a definite feeling of A       Ch, mixed emotions.
Right.
4
3 A
                  ,            improvement on the termination date, and some feeling that 5
Ch, mixed emotions.
But a definite feeling of 4
improvement on the termination date, and some feeling that 5
the differences could be negotiated.
the differences could be negotiated.
6 7 d say -r   well, I'd say mixed emotions.
7 d say
7 Q        Did Consumers make any other sug;estions concern-8 ing revising the contract that Dow found to be to its 9     l advantage?         In 1 bout that time frame.             I don't want to go --
-r well, I'd say mixed emotions.
            'O !                                  I don't remember the specifics of that meeting.
6 7
Did Consumers make any other sug;estions concern-Q 8
ing revising the contract that Dow found to be to its l
9 advantage?
In 1 bout that time frame.
I don't want to go --
'O I don't remember the specifics of that meeting.
A Later en -- we had made several suggestions of the things
A Later en -- we had made several suggestions of the things
                      }
}
12                 which would alleviate our position, and they were being r
12 which would alleviate our position, and they were being r
            '3         >
'3 negotiated and discussed.
negotiated and discussed.
i Q
    ,-                  i
Did you view the suggestion on -he termination
                                                                                                                    ~
~
Q        Did you view the suggestion on -he termination 15                 date M.r. Aymond made at that meeting to be a gesture to
15 date M.r. Aymond made at that meeting to be a gesture to l
            '6 l      gain Dow's support in the Nuclear Regulatory Commission
gain Dow's support in the Nuclear Regulatory Commission
            '7 proceeding?
'6
            's A         I don't believe so.             I really interpreted it as
'7 proceeding?
            '9                 an henest expr.ession of a man using a reasonable approach.                     l l
's A
1 23                 It sounded so reasonable to me that that's why I                         'dered I
I don't believe so.
I really interpreted it as
'9 an henest expr.ession of a man using a reasonable approach.
l l
1 23 It sounded so reasonable to me that that's why I
'dered I
t it just a reasonable businessman making a point.
t it just a reasonable businessman making a point.
            ~l                          2       During the course of this time, leading up ::
f 2
f 1
During the course of this time, leading up ::
23 l                 the prepara:icn of ycur testimeny~, and al-4 ately your 24                 cestimeny in 1977, did ycur atecrneys advise you cf the
~l 1
              -e I
23 l the prepara:icn of ycur testimeny~, and al-4 ately your 24 cestimeny in 1977, did ycur atecrneys advise you cf the I
need to :<eep the Nuclear Regula: cry Cr= mission advised of c-?:: 3e:'c-:! 0::w:~.1, 0:c.
need to :<eep the Nuclear Regula: cry Cr= mission advised of
f j} ;*;    Q t} }            w NCstTM 0A 71TC 6 STDCE*
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Q t} }
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O 20C01 (2C2' 147 3700


39 I
39 I
I!                   changes in your testimony or the Dow position?
I !
                +
changes in your testimony or the Dow position?
2!                         A     During what time?
+
2 !
A During what time?
i 3 '
i 3 '
Q    During the period of time from the September 24 4
During the period of time from the September 24 Q
meeting through your testimony in February of 1977.
meeting through your testimony in February of 1977.
5      .
4 MR. CPJu'UTOFF :
MR. CPJu'UTOFF :     Did his attorneys advise him of 6                   what?
Did his attorneys advise him of 5
t 7                               MR. OR1 STEAD:       The need to keep the Nuclear 8
6 what?
                    ?
t 7
Regulatory Concission advised of changes in your testimony I
MR. OR1 STEAD:
-          9 '                 or in the Dow position.
The need to keep the Nuclear 8
10 !                             THE WITNESS:       In my testimony?                 I had given no 11 ,                 testimony, as I recall.
Regulatory Concission advised of changes in your testimony
12 BY MR. OLMSTEAD:                   ,
?
l 13                         Q     While you were preparing it.
I 9 '
r                 l i
or in the Dow position.
14
10 !
                      ;
THE WITNESS:
MR. POMER:- How could he change anything that i
In my testimony?
15                   still hadn't been given?           That aspect of the question I
I had given no 11,
16                   certainly must be clear.           He had no duty to alter testimony I
testimony, as I recall.
17 l     that hadn't been given.
12 BY MR. OLMSTEAD:
18                               BY MR. OU1 STEAD:
l 13 Q
19            '
While you were preparing it.
Q     Were you ever given any advice concerning the 20                   need of the Corporation, Dow Chemical Company, to keep the                         I 21                   Suelear Regulatory Ccmmission informed of changes in its
r l
:: l                 positicn?
14 MR. POMER:- How could he change anything that i
::                          A   Well, I knew there were hearings going cn, and 3
i 15 still hadn't been given?
t 24 l                 that an r ciece of racer in -his ccmean                       cast, presen: Or 25                   future, had to go to the hearings.                     Sc : assume that means I
That aspect of the question I
l                       n   -- r
16 certainly must be clear.
* p C ::= J 2 Cal C rirM*.%', Jf C.
He had no duty to alter testimony I
ir i
17 l
that hadn't been given.
18 BY MR. OU1 STEAD:
Q Were you ever given any advice concerning the 19 I
20 need of the Corporation, Dow Chemical Company, to keep the 21 Suelear Regulatory Ccmmission informed of changes in its
:: l positicn?
A Well, I knew there were hearings going cn, and 3
t 24 l that an r ciece of racer in -his ccmean cast, presen: Or 25 future, had to go to the hearings.
Sc : assume that means I
p ir l
n
-- r i
C ::= J 2 Cal C rirM*.%', Jf C.
444 N C et W O A P'TC 6 STit E ET W A SHINGM M. 0.0 20001 L202) 3d 7-3700
444 N C et W O A P'TC 6 STit E ET W A SHINGM M. 0.0 20001 L202) 3d 7-3700


t   ,
40 t
40 1 f                keeping them advised.
keeping them advised.
2   ,                      o     Since the tine of your testimony, once prepared, 3
1 f 2
o Since the tine of your testimony, once prepared, 3
have you provided to Dow attorneys, Consumers attorneys, i
have you provided to Dow attorneys, Consumers attorneys, i
l or other personnel for either company, materials indicating i'
l or other personnel for either company, materials indicating 4
5                    any change in your position?
i 5
6                         A     None.
any change in your position?
t 7                         0     Did anyone ever suggest to you that the NnC should 8                    not be provided with informatien concerning Dow's ongoing t
6 A
.        9                    review of the Midland Division recoc=endation?
None.
i A   No, sir. As a matter of fact, I was advised of 10l        i I
t 7
11 exactly the opposite, that anything we said and anything-l 12                   we wrote should be provided.
0 Did anyone ever suggest to you that the NnC should not be provided with informatien concerning Dow's ongoing 8
t 9
review of the Midland Division recoc=endation?
10l A
No, sir.
As a matter of fact, I was advised of i
i I
11 exactly the opposite, that anything we said and anything-l 12 we wrote should be provided.
l*
l*
13 :
i 13 :
i 0   You were advised of that?
0 You were advised of that?
r                 t I was advised that anything we wrote would go 14 A
r t
G'                     l 15             l     to the NRC.
14 A
16             !                  MR. OLMSTEAD:       That's all the questions I have.
I was advised that anything we wrote would go G'
17                               MR. CHARNOFF:       Could we go off the record.
l 15 l
18                                 (Discussion off the record.)
to the NRC.
19                                               CRCS S-E:GL'4INATION 20                               SY MR. CHARNOFF:
16 MR. OLMSTEAD:
21                           0   Mr. Oreffice, I think we've established that           ,
That's all the questions I have.
                                                                                                ;
17 MR. CHARNOFF:
::                    du-ing the time frame of September, 1976 you attended only
Could we go off the record.
::                    the meeting of September 24, 1976 with Consumers Pcwer l
18 (Discussion off the record.)
i 24                   Cccpany present?
19 CRCS S-E:GL'4INATION 20 SY MR. CHARNOFF:
25                           A     That is cer ect, b' b li     00         &::3ede=t =%e=cu. Dx and NCMTM O A pfTO L STmtg?
21 0
WA$MiNGMM. O.4       20001 (202) 347 3700
Mr. Oreffice, I think we've established that du-ing the time frame of September, 1976 you attended only l
the meeting of September 24, 1976 with Consumers Pcwer i
24 Cccpany present?
25 A
That is cer ect, b b li 00
&::3ede=t =%e=cu. Dx and NCMTM O A pfTO L STmtg?
WA$MiNGMM. O.4 20001 (202) 347 3700


j 1
j l
l                    0     You did not attend the September 21 meeting with
0 You did not attend the September 21 meeting with 1
        -    2  '
Consumers Power Company?
Consumers Power Company?
1 3  '
2 1
A     I don't believe so, t
A I don't believe so, 3
t 4
t t
Q    Nor did you attend any other meetings with 5 i i
4 Q
Consumers Power Company during September and October of i
Nor did you attend any other meetings with i
6                 1976?
Consumers Power Company during September and October of 5 i i
7l                      A     That is correct.
6 1976?
8                        Q      Did you take any notes of the Septerter 24, li76 9                 meeting?
7 l A
10 .                       A     I don't remerter now.               If I did, they were turned i
That is correct.
11 ;               over to our attorneys and to the hearing.                     So you would have I
Did you take any notes of the Septerter 24, li76 8
12                 them if I did.
Q 9
meeting?
10.
A I don't remerter now.
If I did, they were turned i
11 ;
over to our attorneys and to the hearing.
So you would have I
12 them if I did.
i l
i l
13 i                       Q     We don't have any that I'm aware of,
13 i Q
  ,a p                  -
We don't have any that I'm aware of, p
14 i                       A     Then I must not have.
,a 14 i A
          /
Then I must not have.
      ./
/
15                         Q     Okay.
./
What, sir, was the purpose of that Septerber 24 I
15 Q
16            ;
Okay.
i 17 '
I 16 What, sir, was the purpose of that Septerber 24 i
I meeting with Consumers Power?
I 17 '
18                         A   It was - we had been having these negotiations 19                   for cuite some time, no conclusions were being reached, and !
meeting with Consumers Power?
l 20                   essentially it was to sit down and talk over the whole                           '
18 A
l 1
It was - we had been having these negotiations 19 for cuite some time, no conclusions were being reached, and !
21                   thing.
l 20 essentially it was to sit down and talk over the whole l
22                         Q     Was it in the centext of trying to resclve the negotiations, or was it in the centext of trfing te l
1 21 thing.
:: l                 understand -- was it in the centext of that task force's 15               i  assi n=ent; namely, to review Mr. Temple's er the Ocw i
22 Q
f l l[ tj                       &:e- 3e:'e::( cRepc::::1.           Or:c Qff                e44 NORTH D PM L.       S?14EE' W A S HI N GTC N. 3.0. 20001
Was it in the centext of trying to resclve the l
                              ?                                   (302) 347.3700
negotiations, or was it in the centext of trfing te
:: l understand -- was it in the centext of that task force's 15 assi n=ent; namely, to review Mr. Temple's er the Ocw i
i f
l l[ tj Qff
&:e-3e:'e::( cRepc::::1. Or:c e44 NORTH D PM L.
S?14EE' W A S HI N GTC N.
3.0.
20001
?
(302) 347.3700


42 q!
42 q!
I '
I Michigan's recommendations?
Michigan's recommendations?
2 l A
            ,  2l                    A   Ch, yes. Yes.
Ch, yes.
3                         Do you know whether the meeting was called at the Q
Yes.
i 4
3 Q
initiative of Consumers Power Company, or at the initiative 5   '
Do you know whether the meeting was called at the i
4 initiative of Consumers Power Company, or at the initiative 5
of Dow Chemical?
of Dow Chemical?
6                   A   I don't remember.
6 A
7                         Was one of the purposes to get some Consumers Q
I don't remember.
8i            Power Company input into the then ongoing Dow USA review 9!           of Mr. Temple's and the Dow Michigan's recommendations?
7 Q
10                     A   Well, obviously part of it was to find out what 11             their position wa.,
Was one of the purposes to get some Consumers 8 i Power Company input into the then ongoing Dow USA review 9 !
t 12                     Q   Their position with respect to what, sir?
of Mr. Temple's and the Dow Michigan's recommendations?
10 A
Well, obviously part of it was to find out what 11 their position wa.,
t 12 Q
Their position with respect to what, sir?
I i
I i
13                     A   In general, on the whole situation of the l
13 A
c (N-         14 l:
In general, on the whole situation of the l
                          ;
c (N-14 l contract.
contract. We'd been trying to renegotiate it for some time.
We'd been trying to renegotiate it for some time.
15 l             Q   Anything else?
l Q
i 16         ,
Anything else?
Just on the whole nuclear power situation.
15 i
17             Uncertainty is the worst thing you can have, and we were 18             trying to determine just what the position was.
16 A
19                         Just to refresh your recollection --
Just on the whole nuclear power situation.
Q 20                         MR. CHARNOFF:         Bill Potter, do you have a copy i,
17 Uncertainty is the worst thing you can have, and we were 18 trying to determine just what the position was.
21             of Mr. Nute's notes of that meeting, September 24, 197e?
19 Q
22                         MR. PCTTCE:       Yes.
Just to refresh your recollection --
1
20 MR. CHARNOFF:
:: !        1 MR. CHARNOFF:         Could you shcw to Mr. Creffice l
Bill Potter, do you have a copy i,
24          j  just a hrief paragraph which might refresh his recollection 25             as to what he had said at the opening of inc meeting?
21 of Mr. Nute's notes of that meeting, September 24, 197e?
f f t\ 04       cA::- 3:dera[ Repcet:u. Sc 4.44 N C ft 714 CAP WL. 5T1% E E*
22 MR. PCTTCE:
W A S HINGTO N. O.3 20001 1202) 1474 700 t
Yes.
1 MR. CHARNOFF:
Could you shcw to Mr. Creffice 1
l j
just a hrief paragraph which might refresh his recollection 24 25 as to what he had said at the opening of inc meeting?
f f t\\
04 cA::- 3:dera[ Repcet:u. Sc 4.44 N C ft 714 CAP WL. 5T1% E E*
W A S HINGTO N.
O.3 20001 1202) 1474 700 t


              ,                                                                                    43 6   ,      i, i
43 6
i i
1 (Document handed to the witness.)
1 (Document handed to the witness.)
2                             MR. POTTER:       Where do you want him to look?
2 MR. POTTER:
3 i                          MR. CHARNOFF:       Particularly under Roman II, i
Where do you want him to look?
4 ;               where there is a caption of Mr. Oreffice's name, and one 5               single paragraph.
MR. CHARNOFF:
6                           MR. POTTER:       The record should reflect I have 1
Particularly under Roman II, 3 i i
7               tendered to the witness a copy of the 9-24-76 notes.
4 ;
where there is a caption of Mr. Oreffice's name, and one 5
single paragraph.
6 MR. POTTER:
The record should reflect I have 1
7 tendered to the witness a copy of the 9-24-76 notes.
f 51R. CHAPl10FF:
That's marked as Midland Exhibit--
That's marked as Midland Exhibit--
-                    f 8         +
8
51R . CHAPl10FF:
+
i 9               Intervenors Exhibit 27.
i 9
t 10                             .HE WITNESS:       All right.
Intervenors Exhibit 27.
t 10
.HE WITNESS:
All right.
l I
l I
11                             BY MR. CHAFliOFF:
11 BY MR. CHAFliOFF:
12                     Q     Now, does that refresh your recollection that the l
12 Q
13 l             purpose of the meeting was to get some input, including r               I eL 14 l               Consumers Power Company input, in connection with the i
Now, does that refresh your recollection that the l
  ~
13 l purpose of the meeting was to get some input, including I
15                 review of the Michigan Division's recommendations and 16                 positions?
r eL 14 l Consumers Power Company input, in connection with the i
i 17           l         A     Yes. But I don't see where it says anything 18                 different fron what I just told you.                 It says we need all 19               the input on the question of where we're going to get out 20                 steam and power and different points in time, which means l'
~
:1                 to me to do the whole thing, and the input into the Division
15 review of the Michigan Division's recommendations and 16 positions?
i 17 l
A Yes.
But I don't see where it says anything 18 different fron what I just told you.
It says we need all 19 the input on the question of where we're going to get out 20 steam and power and different points in time, which means l
:1 to me to do the whole thing, and the input into the Division
:: l review, yes.
:: l review, yes.
4 i
4 i
:3 l i
:3 l C
C      Okay.
Okay.
4 Jow , yce had assicned, with :1 . Temple's
i 4
:5               reccc=endation,   --
Jow, yce had assicned, with :1. Temple's
                                                    ,  .- r       -    ,,
:5 reccc=endation,
7 :c::1 cKerc :: 1, p
.- r p
                                                                                  .icc,
c :1 7 :c::1 cKerc :: 1,
* c :1 4ht     046               -      -ce--
.icc, 4ht 046
wasmnato . o.:. oooi 2C2) 347 3?co
-ce--
wasmnato. o.:.
oooi 2C2) 347 3?co


44 i     ,      !
44 i
1!                               MR. POTTER:       Excuse me.           Are you finished with 2 !
1 !
      -                        the reference now?
MR. POTTER:
l 3                                                       Yes.
Excuse me.
Are you finished with 2 !
the reference now?
l 3
MR. CHARNOFF:
MR. CHARNOFF:
4                                                                I think he's not certain of MR. POTTER:      Okay.
Yes.
5 that. He's reading the notes while you're asKing questions, I
MR. POTTER:
6 i
Okay.
I think he's not certain of 4
that.
He's reading the notes while you're asKing questions, 5
I 6
and I just want to make certain.
and I just want to make certain.
7 MR. CHARNOFF:         Yes.                                   <
i 7
l 8 '                               BY MR. CHARNOFF:
MR. CHARNOFF:
1 9
Yes.
Q      Well, briefly, that paragraph that summarizes to ,                 your opening statement, is essentially consistent with 11 your recollection of what you were looking for in that t
l 8 '
12                   meeting?
BY MR. CHARNOFF:
1 Q
Well, briefly, that paragraph that summarizes 9
to,
your opening statement, is essentially consistent with your recollection of what you were looking for in that 11 t
12 meeting?
I
I
[
[
13 '                       A       Right.
13 '
r,                 l n                    >
A Right.
          - '4 t             Q       Now, if I could have you refer to -- if you
l r,
% ../
t Q
15 l
Now, if I could have you refer to -- if you n
have a copy, and if not I'll show you a ecpy of Mr. Temple's 16                   letter to you, of September 8,               1976 and September 15, 1976, i
'4
17         !
%../
Board Exhibits 1 and 2.
l have a copy, and if not I'll show you a ecpy of Mr. Temple's 15 16 letter to you, of September 8, 1976 and September 15, 1976, i
            '8           .
17 Board Exhibits 1 and 2.
Do you have a copy of those?
'8 Do you have a copy of those?
                          )
)
19 (Docu=ents handed to the witness.)                             I 20                                 Have you seen these dccuments?
19 (Docu=ents handed to the witness.)
2i             ,
I 20 Have you seen these dccuments?
MR. PCMER:       9 '5 is the date en the other one?
2i MR. PCMER:
22                                 MR. CHA?2iCFF :       That is correct.
9 '5 is the date en the other one?
:3                                 *EE WIniESS:       What was ycur question?
22 MR. CHA?2iCFF :
I 24 '                              SY "R. CIA?2iCFF :
That is correct.
25                         C     Have ycu seen chese dccuments befcre?
:3
A44       047         css. wc=t 4x=. s-44d NCRW CA PTT O L SM E E*
*EE WIniESS:
W A S MtM4TC N. 3.0. 20001 (202) 347 3700
What was ycur question?
I SY "R.
CIA?2iCFF :
24 '
25 C
Have ycu seen chese dccuments befcre?
A44 047 css. wc=t 4x=. s-44d NCRW CA PTT O L SM E E*
W A S MtM4TC N.
3.0.
20001 (202) 347 3700


l 45 I
l 45 I
1
1 A
:                  A          I have in front of me September 8.                 I saw that
I have in front of me September 8.
              -                                                                                              l 2
I saw that l
l         ene.     As a matter of fact, that's what started the whole i
l ene.
3            review process, when Joe Temple brought this letter over.
As a matter of fact, that's what started the whole 2
4             He didn' t send it, he brought it in person.
i 3
review process, when Joe Temple brought this letter over.
4 He didn' t send it, he brought it in person.
5 (Document handed to the witness.)
5 (Document handed to the witness.)
6 ;
6 ;
And the September 15, in which he recommends 7
And the September 15, in which he recommends 7
the ite=S for the corporate review, yes.                           I remenber seeing 8             that.
the ite=S for the corporate review, yes.
9                     O           And did you adopt, where he lists proposed items 10             for the Dow corporate review of the nuclear steam project, 11             and he lists seven items, did you adopt those seven items i
I remenber seeing 8
12 i           and ask the corporate review group to look at those seven l
that.
l 13             items?
9 O
And did you adopt, where he lists proposed items 10 for the Dow corporate review of the nuclear steam project, 11 and he lists seven items, did you adopt those seven items i
12 i and ask the corporate review group to look at those seven l
l' 13 items?
I f'
I f'
C        14                    A           I believe ve adopted.them exactly as recommended.
l A
l 15 ,           I am -- I can't be 100 percent;sure that we didn't make 16             some minor changes to it, but I believe we adopted them as 17             written.
I believe ve adopted.them exactly as recommended.
i 18 ;                   Q           Okay.
C 14 15,
19                                 In examining item number 2, which is the review                   ,
I am -- I can't be 100 percent;sure that we didn't make 16 some minor changes to it, but I believe we adopted them as 17 written.
1 i
i 18 ;
20             of the legal aspects of past, present and future outicok,                             !
Q Okay.
l, 21             which I take it Mr. Temple was recc= mending be assigned to                           :
19 In examining item number 2, which is the review 1
i 22 l           M. Hanes, what did you have in mind in asking fer Mr.
i 20 of the legal aspects of past, present and future outicok, l
                      ;
21 which I take it Mr. Temple was recc= mending be assigned to i
22              Hanes to examine the future cutlook of the legal aspects?
22 l M. Hanes, what did you have in mind in asking fer Mr.
l 24                     A           Well, ebviously when you have a major centract we Just wanted to knew what al                         the aspects were. Had i
l Hanes to examine the future cutlook of the legal aspects?
1 1    - t l
22 24 A
                      ,   ..      n 9',L,''      c-t::. '.;:dez: :       ,  rm: 1,   cc.
Well, ebviously when you have a major centract we Just wanted to knew what al the aspects were.
n t I e                       44.4 *sCRTH O A PtTO L STR EC w a s MIN GTO N. l*,,0. 20CQ1 (2C2J 347.JM
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- t l
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        .                                                                                                46 1 '
46 1 '
Consumers breached the contract, what had they done, what 2 '
Consumers breached the contract, what had they done, what 2
could we do, did we have seme outs, didn't we, to make a 3   '
could we do, did we have seme outs, didn't we, to make a 3
decision.
decision.
i 4
i 4
                !                    That's a very important part of the input.                             l 5i Q   And was one of these subsidiary cuestions that 6
That's a very important part of the input.
l 5 i Q
And was one of these subsidiary cuestions that 6
if you terminated the contract you might be liable for 7
if you terminated the contract you might be liable for 7
damages?
damages?
i 8
i 8
A   Certainly would be in my mind, although I don't 9
A Certainly would be in my mind, although I don't 9
know if it came up specifically, yes.
know if it came up specifically, yes.
10 I
10 Q
Q    But I think you used a term in talking to Mr.
But I think you used a term in talking to Mr.
11 i
I 11 Olmstead earlier today, you were talking about the prudent i
Olmstead earlier today, you were talking about the prudent 12 l   businessman would want to know the legal situation.                       So, i
12 l
13         +
businessman would want to know the legal situation.
l   among other things, acting as a prudent businessman, among
So, i
                    ;
13
T' i    14 I       '
+
l among other things, acting as a prudent businessman, among i
14 I T'
other things you would want to know is whether or not if 15 the contract were terminated or frustrated, whether Dew i
other things you would want to know is whether or not if 15 the contract were terminated or frustrated, whether Dew i
16 l
16 l
i might have some liability?
might have some liability?
i 17
i i
                      !        A    obviously, I think you'd want to know can we 18         '
17 A
terminate it. because we have just cause, or don't we have, 19 or if we don't or if we do, what might be the legal                               :,
obviously, I think you'd want to know can we 18 terminate it. because we have just cause, or don't we have, 19 or if we don't or if we do, what might be the legal 20 consequences.
20 consequences. Yes.
Yes.
2' Q     So in that centext, you might want to knew                             !
2' Q
22 l vhether ycu'd be the subject of a pctential lawsuit,
So in that centext, you might want to knew 22 l
          "            ! perhaps ,by the Other party?
vhether ycu'd be the subject of a pctential lawsuit, perhaps,by the Other party?
A     Chan's your conclusien.                       That's reasonable.
A Chan's your conclusien.
          -- I 0     It is reascnable, and a pruden: businessman would n   '-    r
That's reasonable.
                                                    .*::c~   1 :.S::c~::~1, 2o :.
-- I 0
c~~::
It is reascnable, and a pruden: businessman would n
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47 1     want to know that, is that right?
47 1
2           A       I think that's a reasonable assumption.
want to know that, is that right?
3                   MR. P C T'" E R :   Are we through with this exhibit 4     now?
2 A
5                   MR. CHAFlIOFF :         I think so.
I think that's a reasonable assumption.
6                   BY MR. CHARNOFF:
3 MR. P C T'" E R :
7           Q     In fact, Mr. Oreffice, Dew is often the subject a     of -- even though you say it's not a litigious cerporation, 9     Ccw is often the subject of some litigation.                   Any ::w.jor to     c w oratien is, isn't it?
Are we through with this exhibit 4
11             A     Especially in today's society.               You lawyers have 12     to make a living.
now?
13             Q     There might even be seme legitimate reasons for
5 MR. CHAFlIOFF :
        'r         >
I think so.
i f"-           14     the lawsuits.
6 BY MR. CHARNOFF:
      ~
7 Q
is             A     Sometimes.
In fact, Mr. Oreffice, Dew is often the subject a
16             Q     Isn't that right?
of -- even though you say it's not a litigious cerporation, 9
17             A     Somet.5eS.
Ccw is often the subject of some litigation.
la             Q     And scretimes I assume that your lawyers bring is     litigation at the direction of the management rather than 1
Any ::w.jor to c w oratien is, isn't it?
20     of their own instigation, isn't that correct?                                 i l
11 A
i 21             A     Ch, I'm sure, althcugh I don't knew of any                     l1
Especially in today's society.
              . ,. liticaticn of the size cf this ene. .
You lawyers have 12 to make a living.
n             Q     So it's the si:e of -he litigati:n that was
13 Q
:4       really of great imnrassien Oc ycu in this particular
There might even be seme legitimate reasons for
:s       instance, is that right?
'r i
444       0.50
f"-
                                              "" 3'='". _=I="'=*=' , m ,,. m WASHIMC M N. 3.0 20041
14 the lawsuits.
~
is A
Sometimes.
16 Q
Isn't that right?
17 A
Somet.5eS.
la Q
And scretimes I assume that your lawyers bring is litigation at the direction of the management rather than 1
20 of their own instigation, isn't that correct?
i l
i 21 A
Ch, I'm sure, althcugh I don't knew of any l
1 liticaticn of the size cf this ene..
n Q
So it's the si:e of -he litigati:n that was
:4 really of great imnrassien Oc ycu in this particular
:s instance, is that right?
444 0.50
"" 3'='". _=I="'=*=' ""
, m,,. m WASHIMC M N.
3.0 20041
:202J 347-3 ?co
:202J 347-3 ?co


48 1
48 1
A     When Consumers, on Cegtember 24, brought it up, 2     yes, sir. S600 million captures =y attention.
A When Consumers, on Cegtember 24, brought it up, 2
3           Q     That's a lot of money.
yes, sir.
4           A     Even = ore back then in '76.
S600 million captures =y attention.
5                 It's worth somewhat less today, isn't it.
3 Q
0 6           A     Yes.
That's a lot of money.
7           Q     New, in the context of today's society where 8     lawyers like to do whatever it is they like to do, I take
4 A
.              9    it it is custcmary for managers of enterprises to take 10     such active litigatien or f act of potential litigation. into 11     account in making prudent business judg=ents, isn't that 12     correct?
Even = ore back then in '76.
13           A     It doesn't happen very often but, yes.
5 0
i
It's worth somewhat less today, isn't it.
/~ (s '~'. 14           Q     But where it exists, that is, where you are told tt     that there is potential litigation or where you suspect 16     there is potential litigation, as a prudent businessman 17     you would like to kncw about that, wouldn't you?
6 A
18           A     Correct.
Yes.
19           Q     And then you would factor that into ycur prudent l l
7 Q
2a     business decisien making?                                                 l 1
New, in the context of today's society where 8
21           A     Yes.                                                           :
lawyers like to do whatever it is they like to do, I take 9
1
it it is custcmary for managers of enterprises to take 10 such active litigatien or f act of potential litigation. into 11 account in making prudent business judg=ents, isn't that 12 correct?
::          Q    Ccw, I take it, has often entered into a number
13 A
::  , cf centracts which appear -                 well, I shculdn't say eften --
It doesn't happen very often but, yes.
:4     but Scw has entered into centracts which secetimes appear
/~ (s '~'.
:5     to te less f averable after their inceptica than at the time e
i 14 Q
                                          +
But where it exists, that is, where you are told tt that there is potential litigation or where you suspect 16 there is potential litigation, as a prudent businessman 17 you would like to kncw about that, wouldn't you?
(*     /           a         g w'~*:
18 A
* w CCal CNCCTtC1, s l' .
Correct.
[                   444 4 C 8tTW CA #'TO L STREET
19 Q
                                                # A S HI N GTO N. O.C. 20001 (202) 3dh37CC
And then you would factor that into ycur prudent l l
2a business decisien making?
l 1
21 A
Yes.
1 Q
Ccw, I take it, has often entered into a number cf centracts which appear -
well, I shculdn't say eften --
:4 but Scw has entered into centracts which secetimes appear
:5 to te less f averable after their inceptica than at the time
+
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20001 (202) 3dh37CC


49 I         the centracts were entered into, isn't that right?
49 I
2               A     That is correct.             Less favorable on either side, w
the centracts were entered into, isn't that right?
3 Q     Cn either side.           And I assume that in evaluating 4 '
2 A
                  ,    the nature of, or in evaluating the desirability of whether 5
That is correct.
continuing that contractual activity, one of the questions 6       is the extent to whicb you are legally obligated to carry 7       out that contract, isn't that             --
Less favorable on either side, w
8                    My first approach has always been to sit dcwn A
3 Q
9        with the other partf and try to negotiate something that "3       is = ore equitable for both, despite the fact if it is more 11       unreasonable to us later than before, our approach is to i
Cn either side.
12   ,
And I assume that in evaluating 4
sit down, and lay on the table why we think this contract 13       is to (f.erous for us and try to get a friendly settlement r
the nature of, or in evaluating the desirability of whether 5
0s_)  14       of scme type.
continuing that contractual activity, one of the questions 6
\.
is the extent to whicb you are legally obligated to carry 7
15             0     And that's probably the reasonable and almost 16       standard practice for large enterprises.
out that contract, isn't that 8
17             A     And that'J how I think 99 percent of these things 18       are solved.
A My first approach has always been to sit dcwn 9
M3 Q     All right.     But ene of the elements of resolving 20         those is the awareness that there is scme litigatien 21       potential if reascnable people don't reach an tmicable 23 !       agreement, isn't that it?
with the other partf and try to negotiate something that "3
i 23     I j        A     Well, ycu can't make a generali:aticn like that, i
is = ore equitable for both, despite the fact if it is more 11 unreasonable to us later than before, our approach is to i
24        because in cost every case I knew cf -- cne was relief, fer l
12 sit down, and lay on the table why we think this contract 13 is to (f.erous for us and try to get a friendly settlement 0
25       instance, en our pricing when the oil price increase ed
r s_)
                                            = = == == > =*= === L7 n=
14 of scme type.
i 444    052            6.a.a N C arTN uptTO L. STw m W A S HIM 4 7C N. 3.C. 2OCC1 42C2J 347 3700
\\.
15 0
And that's probably the reasonable and almost 16 standard practice for large enterprises.
17 A
And that'J how I think 99 percent of these things 18 are solved.
M3 Q
All right.
But ene of the elements of resolving 20 those is the awareness that there is scme litigatien 21 potential if reascnable people don't reach an tmicable 23 !
agreement, isn't that it?
i I
23 A
Well, ycu can't make a generali:aticn like that, j
i l
because in cost every case I knew cf -- cne was relief, fer 24 25 instance, en our pricing when the oil price increase ed 444 052
= ===== > =*==== L7 =
i n
6.a.a N C arTN uptTO L. STw m W A S HIM 4 7C N.
3.C.
2OCC1 42C2J 347 3700


          .                                                                                50 1
50 1
                      '74 and we had seme escalations which were no lenger satis-2 factory. Our approach was always to try to get some relief, 3
'74 and we had seme escalations which were no lenger satis-2 factory.
Our approach was always to try to get some relief, 3
but if there was no relief and no breach at all of the 4
but if there was no relief and no breach at all of the 4
other party, we'd live up to our contracts.
other party, we'd live up to our contracts.
Line 1,538: Line 2,305:
6 everybody keeps asking me ahout the breaking of this co.. ract.
6 everybody keeps asking me ahout the breaking of this co.. ract.
7 We felt there was gced cause -- at least, I knew in my mind 8
7 We felt there was gced cause -- at least, I knew in my mind 8
                ,    the thing that I asked the lawyer is do we have goed cause
the thing that I asked the lawyer is do we have goed cause 8
'            8 for demand.ing, if you will, an amendment to this contract.
for demand.ing, if you will, an amendment to this contract.
10 We were looking more for an amendment of the 11 contract, in my mind.
10 We were looking more for an amendment of the 11 contract, in my mind.
12 O     The thing that was impressive, then, at the
12 O
            '3       September 24 =eeting when Mz. Aymond mentioned the potential 14 of, litigation was really the amount of exposure that might 15 be involved?
The thing that was impressive, then, at the
16 A     Well, plus the fact that we had -- up until that 7
'3 September 24 =eeting when Mz. Aymond mentioned the potential 14 of, litigation was really the amount of exposure that might 15 be involved?
16 A
Well, plus the fact that we had -- up until that 7
day I had really felt that we could get the centract 18 amended, that we could find the way, because there were
day I had really felt that we could get the centract 18 amended, that we could find the way, because there were
            '9         sete things we needed, sc=c chings they needed.               And I   ,
'9 sete things we needed, sc=c chings they needed.
1 20         felt at that meeting we were being told veu're c.oine. te be.          ,
And I 1
1 21         sued fer $500 millien, and sert of take it or leave it.
20 felt at that meeting we were being told veu're c.oine. te be 1
21 sued fer $500 millien, and sert of take it or leave it.
That's a big change.
That's a big change.
            --    l
l i
            "                      Oid he do that in the centex: thac thac wculd i          O t
O Oid he do that in the centex: thac thac wculd t
24         he Censu=ers Only reccurse if, in fact, Ocw either c
24 he Censu=ers Only reccurse if, in fact, Ocw either c
repudiated or frustrated the centract?
l repudiated or frustrated the centract?
l
c :: ?c:e ci =Kercn:n, $cc
                                            ,,  '- > ci> =Kercn:n, c :: ?c:e
.9 O-l 444
                                                                                $cc
*e c eW OA P*TO t.
                    .9 l                           *e c eW OA P*TO t. ST1e EI?
ST1e EI?
O-444 W A S MI N GTC N. O.* 20001 I2C2) 347-J7CC
W A S MI N GTC N. O.*
20001 I2C2) 347-J7CC


al 'I
al
                                                                                              ;
'I l
I                                                                                 l A     No, I think it was done in the centext that we               I tried to negotiate sc=e contract changes, we were getting 3
I A
No, I think it was done in the centext that we I
tried to negotiate sc=e contract changes, we were getting 3
newhere, and if you don't live up to the contract, he said, 4
newhere, and if you don't live up to the contract, he said, 4
we're going to sue you for S600 =illion.
we're going to sue you for S600 =illion.
5 That's the kind of thing I felt             . . .
5 That's the kind of thing I felt 0
0 0    I think you testified -- I think Mr. Olmstead 7
0 I think you testified -- I think Mr. Olmstead 7
referred to 2692 -- that there were no threats, if I a
referred to 2692 -- that there were no threats, if I a
reme=ber, by Censc=ers Power Cc=pany with regard to losses U
reme=ber, by Censc=ers Power Cc=pany with regard to losses U
prior to September, 1976, is that correct?
prior to September, 1976, is that correct?
10 A     To =y kncwledge there were none.               Yes. There Il
10 A
                    =ight have been, but not to my knowledge.
To =y kncwledge there were none.
12 Q     Do you know whether prior to September 1976
Yes.
          '3
There Il
      .            Dew or any of its elements, like Dew Michigan, had ever
=ight have been, but not to my knowledge.
  ,,            i told Cons =ers Power Cc=pany that it was recc==ending to
12 Q
  ~.
Do you know whether prior to September 1976
'3 Dew or any of its elements, like Dew Michigan, had ever i
told Cons =ers Power Cc=pany that it was recc==ending to
~.
15 the parent bcdy that it review the contract to determine 16 whether or not it was continuing to be in the interest of 17 Dcw Chemical to carry it out?
15 the parent bcdy that it review the contract to determine 16 whether or not it was continuing to be in the interest of 17 Dcw Chemical to carry it out?
18 A     I knew they were talking with Const=ers abcut 19 making substantial changes in the centract.
18 A
          'O Your questien is, did they te._ Censumers they
I knew they were talking with Const=ers abcut 19 making substantial changes in the centract.
          '  '      were asking for a corporate review?
O Your questien is, did they te._ Censumers they were asking for a corporate review?
22                   Yes, that's right.
22 0
0
Yes, that's right.
          ..      I 1
I 1.
: 1. Not te :.r kncwledc.e.
Not te :.r kncwledc.e.
2*                   So it had never a=ctnced cc tha: level cf C
1 2*
c
C So it had never a=ctnced cc tha: level cf c
          ~
ccccern, is that right?
ccccern, is that right?
                                          ,    c- r     -  n g,       -            c: .*eres::/       =Kecci::~1,   cc.
~
Ih                           w ** C R 'M CAP   L $*REZ?
c-r n
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Ih w ** C R 'M CAP L $*REZ?
WA$MIPEG M M. 0.0 2000t (102J 347 3700
WA$MIPEG M M. 0.0 2000t (102J 347 3700


o .,. !
-o.,.
l 1                                                                                 i A       There was cencern, but, no, that's right.         There 2
l i
1 A
There was cencern, but, no, that's right.
There 2
was an escalation of concern after a lanc. c.eriod of time 3
was an escalation of concern after a lanc. c.eriod of time 3
with the negotiatiens not gcing in the right direction.
with the negotiatiens not gcing in the right direction.
              #                    Yes, I'm not icoking to you to finger ceint it, Q
Q Yes, I'm not icoking to you to finger ceint it, 3
3      but as I understand it, there was a meeting on Septerter 13 6       between Daw and Censumers Pcwer Cc=pany where Dew people 7       told Censumers that there was the Ocw Michigan rece==endation 8
but as I understand it, there was a meeting on Septerter 13 6
and   a decisien by the beard to carry out that recc==endation, 9     that is to have a corporate.re'riew of the contract.           And to       that is an escalation of concern, perhaps a logical one, 11       but nonetheless an escalation of concern, isn't that right?
between Daw and Censumers Pcwer Cc=pany where Dew people 7
12             A       I would agree with that, yes.
told Censumers that there was the Ocw Michigan rece==endation and a decisien by the beard to carry out that recc==endation, 8
13                     And it was only after that event occurred that Q
9 that is to have a corporate.re'riew of the contract.
14       there was a threat or statement of litigation by Consumers
And to that is an escalation of concern, perhaps a logical one, 11 but nonetheless an escalation of concern, isn't that right?
    ~-
12 A
15       with the potential of $600 million of damages being raised, 16       is that right?
I would agree with that, yes.
17             A       That is correct, to my kncwledge, yes.
13 Q
18 Q     New, t"ere was sc=e reference in your discussion
And it was only after that event occurred that 14 there was a threat or statement of litigation by Consumers
  -          19       with Mr. Olmstead of Ocw's considering suing Censu=ers Pcwer               ,
~-
i 20       Cc=pany.                                                                   !
15 with the potential of $600 million of damages being raised, 16 is that right?
21                     Reccgni:ing what you said be#~=
17 A
* cut your 22       general disecsition in trying cc rescive these matters, 23     ; cen_ cverted matters, whenever you ceuld, when de jeu recall 24 l this censideraticn by Ocw cf the feasibilicy er desirabilicy i
That is correct, to my kncwledge, yes.
:S       cr undesirability of suing Censumers Pcwer Cc=pany?           Did it
18 Q
                                              ,          r    -    m c-= .
New, t"ere was sc=e reference in your discussion 19 with Mr. Olmstead of Ocw's considering suing Censu=ers Pcwer i
                                                  .  :=c=       c := n cs. s c 444 99s lj              y odd asc A Tid 1A p fTO 4. STWEET W A S Mt MGTC N. O.C 200C1 (202) 347.J700
20 Cc=pany.
21 Reccgni:ing what you said be#~=
* cut your 22 general disecsition in trying cc rescive these matters, 23
; cen_ cverted matters, whenever you ceuld, when de jeu recall l this censideraticn by Ocw cf the feasibilicy er desirabilicy 24 i
:S cr undesirability of suing Censumers Pcwer Cc=pany?
Did it r
m c-=.
:=c= c := n cs. s c 444 99s odd asc A Tid 1A p fTO 4. STWEET lj y
W A S Mt MGTC N. O.C 200C1 (202) 347.J700


53 i
53 i
l 1
l 1
follow the statement by Consumers Pcver company en Septe:-ber:
follow the statement by Consumers Pcver company en Septe:-ber:
2       21 or 24 that it might sue, or did it precede that period 3     in ti.r.e?
2 21 or 24 that it might sue, or did it precede that period 3
4           A     To the best ou my recollection, it follcwed it.
in ti.r.e?
5             0     I see, s           A     At least in my part of the discussions. But 7     let me tell you, at the same time, as we started the S     review, as we started the legal proceedings, it's possible 1     that when we said legal proceedings the subject also came 10     up, lo we have any -- you k Ow, I think it's one of the 11     thintys that we asked them to 1cok at, do we have any legal 1:     recourse?
4 A
13              -    So it's possible that I heard something, but
To the best ou my recollection, it follcwed it.
( '   14       I don't believe so. I bulieve it was after.
5 0
V 15             Q     But it ws's possibly in .ask force item number 16       2, as eccething to be looked at.
I see, s
A     Well, they were to icok at the whole legal 18       implications.                                                     ,
A At least in my part of the discussions.
i 19             Q   Now, Mr. Hanes testified this torning on               !
But 7
i
let me tell you, at the same time, as we started the S
:o       depositien that folleving his meeting on September 21 with         !,
review, as we started the legal proceedings, it's possible 1
:-      sece Censumers lawyers where a discussien ca -a   :p about Mr. Temele being a witness, and whe-her there cught :       be 1
that when we said legal proceedings the subject also came 10 up, lo we have any -- you k Ow, I think it's one of the 11 thintys that we asked them to 1cok at, do we have any legal 1:
:2    j a witness presented by Ocw whc was unaware cf Mr. le=     '.e's 1
recourse?
So it's possible that I heard something, but 13
( '
14 I don't believe so.
I bulieve it was after.
V 15 Q
But it ws's possibly in.ask force item number 16 2, as eccething to be looked at.
A Well, they were to icok at the whole legal 18 implications.
i 19 Q
Now, Mr. Hanes testified this torning on i
:o depositien that folleving his meeting on September 21 with sece Censumers lawyers where a discussien ca -a
:p about Mr. Temele being a witness, and whe-her there cught :
be 1
j a witness presented by Ocw whc was unaware cf Mr. le= '.e's
:2 1
:4 }
pcsitien, and that he teck the pcsi.icn that Ocw would have
pcsitien, and that he teck the pcsi.icn that Ocw would have
:4 }
:s to put fe: sa-d a fully kncwledgeable witness, kncwledgeable 444 0 5 6 da-5='==i =s==,,=,m &=
:s       to put fe: sa-d a fully kncwledgeable witness , kncwledgeable 444     056    da- 5='==i   =s==,,=,m &=
! ;,o g
                                          ~ ~ . . .                   ;,o
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                                                                    !        g
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i ap j..
i2em m .2-ee i    ap      j.. ..
i2em m.2-ee


54 i
54 i
t of Mr. Temple's position, and so on, and he said he then met with you prior to the meeting on September 24.
of Mr. Temple's position, and so on, and he said he then t
met with you prior to the meeting on September 24.
2 3
2 3
Do you recall that?
Do you recall that?
4 A         If Mr. Hanes said he met with me, he's probably 5
A If Mr. Hanes said he met with me, he's probably 4
right.        I know in those days I met with him, scmetimes with 6              Mr. Nute or Mr. Temple, to get a briefing on what was going 7
5 I know in those days I met with him, scmetimes with right.
on. And that possibly is where I first heard of this.
Mr. Nute or Mr. Temple, to get a briefing on what was going 6
8                                 It could have been September 24 when I first 9
And that possibly is where I first heard of this.
i       heard about it.
7 on.
                  'O Q         How many times did you hear about it?
8 It could have been September 24 when I first 9
11                                   I don't know.
i heard about it.
A 12
Q How many times did you hear about it?
{              Q.       Mr. Hanes testified that you took the position 13
'O 11 A
                              !    consistent with his, that Dow ought to put forth the most
I don't know.
  -    _ ("
{
l' sss    /                         knowledgeable person, 15                       A         A very violent position.
Q.
16 Q         As a matter of fact, you said earlier today you
Mr. Hanes testified that you took the position 12 consistent with his, that Dow ought to put forth the most 13
                    '7               raised hell with your people?
_ ("
18                               Yer.
l'
A
/
    ~              'O                               Was that --
knowledgeable person, sss 15 A
Q l
A very violent position.
20                       A         It could have been at Mr. Hanes' meeting.               I 21               thought, frankly, it was after the 24th.                       But it could have 22               been the 22nd.
16 Q
1 22        1             2       Why would you have raisec               all wich your people?
As a matter of fact, you said earlier today you
i i
'7 raised hell with your people?
24              Was there scme possibility thac some of your people were
18 A
                    -c                                 ,
Yer.
sugges
~
                    '-                            ng unat ~~
'O Q
                                                                    - i
Was that --
                                  .                            ="ta ':de::( :Secit:-
l 20 A
4 Tcc.
It could have been at Mr. Hanes' meeting.
                                      - "*                        444 MC 8t *M CA PtTC L STME W AJ MI N GTC N. 3.0 20001 202J 347 4700
I 21 thought, frankly, it was after the 24th.
But it could have 22 been the 22nd.
1 1
2 Why would you have raisec all wich your people?
22 i
i Was there scme possibility thac some of your people were 24
-c
~~
sugges ng unat
="ta ':de::( :Secit:-
Tcc.
- i 4
444 MC 8t *M CA PtTC L STME W AJ MI N GTC N. 3.0 20001 202J 347 4700


55 1               A   No, they weren't suggesting that.                 Well, when I 2       raised hell I became, I remember, very excited about any-(           3       body making a suggestion that Dow should not put its most 4       kncwledgeable witness up.
55 1
5               Q   Okay. Whether it be Consumers people saying that 6 !     or your own people saying that.
A No, they weren't suggesting that.
7               A   Well, my own people were obviously just a conduit.,
Well, when I 2
8       But you always Echead the messenger.                 And I think when I 9       say raised hell, I was really beheading the messenger by la       saying to hell with it, I took a very streng stand, that it       ue will at any hearing put the most knowledgeable witness 12       on, whatever the subject.
raised hell I became, I remember, very excited about any-(
13   ,          Q   Did Mr. Hanes tell you that at a meeting on
3 body making a suggestion that Dow should not put its most 4
      ,-        t PN September 21 that scme of the Dow people at that meeting v)       14 15       had at least scme reservation about putting Mr. Temple on, 16       because of the prior statements he had made, or prior 17       public positions he had taken?
kncwledgeable witness up.
18               A     I don't remember that, as of new, if he did say 19       scmething like.that.
5 Q
29               Q   If they had told you that, would that have                     i i
Okay.
21         caused you to raise hell with them?                                       l 3
Whether it be Consumers people saying that 6 !
:: i             A   I'd raise a little =cre hell, yes.
or your own people saying that.
l
7 A
::                0    I see. Sc there's levels cf hell that ycu ra se?
Well, my own people were obviously just a conduit.,
I 24 !   t All right.
8 But you always Echead the messenger.
:5                     Ncw, Mr. Eanes also testified -lat it :. 3 nc:
And I think when I 9
444               a 058     c = m =, t + =. ,c, es N.                . ,-=- n a
say raised hell, I was really beheading the messenger by la saying to hell with it, I took a very streng stand, that it ue will at any hearing put the most knowledgeable witness 12 on, whatever the subject.
                                              # A S MIN GTC N. 3.C 1CCC1                 ; (1 (202) 347-J700
13 Q
Did Mr. Hanes tell you that at a meeting on t
PN 14 September 21 that scme of the Dow people at that meeting v) 15 had at least scme reservation about putting Mr. Temple on, 16 because of the prior statements he had made, or prior 17 public positions he had taken?
18 A
I don't remember that, as of new, if he did say 19 scmething like.that.
29 Q
If they had told you that, would that have i
i 21 caused you to raise hell with them?
l 3
:: i A
I'd raise a little =cre hell, yes.
l 0
I see.
Sc there's levels cf hell that ycu ra se?
I 24 !
All right.
t
:5 Ncw, Mr. Eanes also testified -lat it :. 3 nc:
444 058 c = m =, t + = c es = n a a
N.
# A S MIN GTC N. 3.C 1CCC1
; (1 (202) 347-J700


56
56 his recollection that the question of a Dew witness, 2
            '            his recollection that the question of a Dew witness,
knowledgeable or otherwise, was raised at all at the I
        ,  2              knowledgeable or otherwise, was raised at all at the I           3 Septed er 24 meeting.       So new I would like to ask you to I
3 Septed er 24 meeting.
4            focus as hard as you can -- and I reccgnize we're a couple       !
So new I would like to ask you to I
5             of years away frem your testi=cny, which was then months 6             away, is it at all possible that your recollection of that 7           issue came up only in       a   meeting with Mr. Hanes, Mr. Nute 8           or semebcdy else, or that it necessarily came up in the
focus as hard as you can -- and I reccgnize we're a couple 4
  -          9            September 24 meeting?
5 of years away frem your testi=cny, which was then months 6
i 10 '                 A     In February of 1977 I seemed to have a very l
away, is it at all possible that your recollection of that 7
11             clear recollection that it came up at the 24 September 12             meeting, and I have had nothing since to change my mind.
issue came up only in a
i 13                   Q     Allright. So your statement here this morning I
meeting with Mr. Hanes, Mr. Nute 8
  /         14       '
or semebcdy else, or that it necessarily came up in the 9
that it came up on the 24th meeting with Consumers is 15            really based upon your re-reading your testimony of 16             February 1977.
September 24 meeting?
17                   A     There is no new recollection.                         ;
i 10 '
18                   0     Okay.
A In February of 1977 I seemed to have a very l
19                         Now, let's go back -- and I recognize that I
11 clear recollection that it came up at the 24 September 12 meeting, and I have had nothing since to change my mind.
20             difficulty, it really is -- your testimeny which appears l
i 13 Q
21             on page 2703 of the t anscript talks alcut a suggestien -
Allright.
::          i  I' : icching at the bettes parag aph cf that page, sir, 20             lines 13 and 19, where ycu said that if there was ne l
So your statement here this morning I
24             statement that there cught te he a fabriested pcsition,
/
:5             but the suggestion was made we shculd supply maybe a wi ness s
14 that it came up on the 24th meeting with Consumers is really based upon your re-reading your testimony of 15 16 February 1977.
c~*:   * : -:t     S.ercit:~1, Sc 4 4   Oqg m =em ameu sncz?
17 A
                                                    . . . _ _ . m_
There is no new recollection.
                                                          ' 2c2) 3.47 3703
18 0
Okay.
19 Now, let's go back -- and I recognize that I
20 difficulty, it really is -- your testimeny which appears l.
21 on page 2703 of the t anscript talks alcut a suggestien -
I' : icching at the bettes parag aph cf that page, sir, i
20 lines 13 and 19, where ycu said that if there was ne l
24 statement that there cught te he a fabriested pcsition,
:5 but the suggestion was made we shculd supply maybe a wi ness c~*:
* : -:t S.ercit:~1, Sc s
4 4
Oqg m =em ameu sncz?
... _ _. m_
' 2c2) 3.47 3703


57
57
{
{
I              who wasn't the most knowledgeable witness that Cow had, 2    ,
who wasn't the most knowledgeable witness that Cow had, I
                                    ...a   suggestion which led me to doing the review, led me
...a suggestion which led me to doing the review, led me 2
(
(
3              to question this, because I said as much as I'm cencerned 4              Joe *emple is the most knowledgeable man that we have on 5             the subject."
to question this, because I said as much as I'm cencerned 3
S                           Now, I recognize that even February, 1977, while 7               it's pretty far back from now, it was also roughly six 8             months after the September meeting that you had with Mr.
Joe *emple is the most knowledgeable man that we have on 4
9             Hanes and your people had with Consumers Power.
5 the subject."
10                           Are you absolutely certain that in fact that 11              suggestica was made at the September 24 meeting, or rather 1
S Now, I recognize that even February, 1977, while 7
12 '             what you were recollecting was your discussion with Mr.
it's pretty far back from now, it was also roughly six 8
months after the September meeting that you had with Mr.
9 Hanes and your people had with Consumers Power.
10 Are you absolutely certain that in fact that suggestica was made at the September 24 meeting, or rather 11 1
12 '
what you were recollecting was your discussion with Mr.
13 Hanes orier to the meeting?
13 Hanes orier to the meeting?
: r.               ,
r.
14                     A     You're asking me if I'm absolutely certain in 15 May of 1979. I was pretty damned certain in February of 16               1977, yes.
14 A
17                     Q     Well, who made the suggestion at the September 18             24 meeting?                                                     ;
You're asking me if I'm absolutely certain in 15 May of 1979.
1 19                     A     I do not remerier.
I was pretty damned certain in February of 16 1977, yes.
Ic                     C     You weren't asked that in February, 1977, but 21             Jince you were given to a -- what ycu might say a vicient er ar =' ~ s raising hell type reacticn to thac k.ind of an
17 Q
Well, who made the suggestion at the September 18 24 meeting?
1 19 A
I do not remerier.
Ic C
You weren't asked that in February, 1977, but 21 Jince you were given to a -- what ycu might say a vicient er ar =' ~ s raising hell type reacticn to thac k.ind of an
:2 i issue, let me t:f to put you back into ycur frame of i
:2 i issue, let me t:f to put you back into ycur frame of i
24               reference in Sepcerier.
24 reference in Sepcerier.
        -          25                           Can you picture Mr. Aynend discussing who the m
25 Can you picture Mr. Aynend discussing who the c:
c:
.; re:i
n    - ,
%:c-:cs, $cc n
                                                                .; re:i
m
                                                                              %:c-:cs,   $cc
- *cn. C2,,rCc srwerT W A S HIN(1TC N.
                                                            - *cn . C2,,rCc srwerT W A S HIN(1TC N. C.C. 20001 444     060                 - --
C.C.
20001 444 060


58
58
            'l ;    witness ought to be?           Would that have been in his province 1
'l witness ought to be?
Would that have been in his province 1
2 !
2 !
or his area of discussion?
or his area of discussion?
I
I
/           3             A       Possibly.       But I just         . .    .I just don't 4
/
3 A
Possibly.
But I just
.I just don't 4
remember as of now.
remember as of now.
5 Q       You can't remember who mignt have made that 6       suggestion?
5 Q
7             A       It's very possible Mr. Aymond might have.
You can't remember who mignt have made that 6
8
suggestion?
                ,        Q        Is it possible that Mr. -- who else was at that 9       meeting?   Is it possible that it might have been another 10 person at that meeting?
7 A
11             A       Mr. Ay=ond took the lead, as I recall, from the 12       group. Who was their lawyer?               He did seme talking.
It's very possible Mr. Aymond might have.
13             Q       There was a Bacon and a Falahee there, n.
8 Q
,A         14             A       I think Falahee - either Bacon or Falahee did 1
Is it possible that Mr. -- who else was at that 9
15       quite a bit - a fair amount of talking, as I remember.
meeting?
16             Q       Could I ask you to refer again, then, to Exhibit 17 27, which were Mr. Nute's notes of the September 24 meeting?
Is it possible that it might have been another 10 person at that meeting?
11 A
Mr. Ay=ond took the lead, as I recall, from the 12 group.
Who was their lawyer?
He did seme talking.
13 Q
There was a Bacon and a Falahee there, n.
,A 14 A
I think Falahee - either Bacon or Falahee did 1
15 quite a bit - a fair amount of talking, as I remember.
16 Q
Could I ask you to refer again, then, to Exhibit 17 27, which were Mr. Nute's notes of the September 24 meeting?
18 (Document handed to the witness. )
18 (Document handed to the witness. )
19             A       Yes.
19 A
20             Q       ' lave you seen these notes before today, sir?                 I 21             A       I believe I must have seen them at the time they
Yes.
          ^2         were w-itren then, in '76.               I believe so.       I can't be 23 !       entirely sure.
20 Q
' lave you seen these notes before today, sir?
I 21 A
I believe I must have seen them at the time they
^2 were w-itren then, in '76.
I believe so.
I can't be 23 !
entirely sure.
I i
I i
:t             C       Io you recall any recollection that -hese actes
:t C
:5         were reascnahly cc==rehensive and captu ed the significant r   - ,
Io you recall any recollection that -hese actes
c::- :erc:1 .:Rerc :cs, Lac.
:5 were reascnahly cc==rehensive and captu ed the significant r
c::- :erc:1.:Rerc :cs, Lac.
l
l
                              .,e       n/       = acam =um starry 444       U$ ;g     mee.r= ~. :.c. 2cooi 1202) 347 3700
.,e n/
= acam =um starry 444 U$ ;g mee.r= ~. :.c. 2cooi 1202) 347 3700


            !                                                                                        59
59 l
    .  .    ;
points made at the meeting?
1 l          points made at the meeting?
1 2
2                 A       No, I frankly don't remember it.
A No, I frankly don't remember it.
/         3                 O       Do you recall any reaction that it lacked or iI 4             omitted any significant points of the meeting?
/
l 5                 A       Maybe I ought to make sure you understand.                   I i
3 O
I 6             probably didn't read these notes very carefully.                     I had i
Do you recall any reaction that it lacked or i
7             in my Job a mountain of papers.                   In fact, I spent all my i
I 4
8             time --
l omitted any significant points of the meeting?
5 A
Maybe I ought to make sure you understand.
I i
I 6
probably didn't read these notes very carefully.
I had i
7 in my Job a mountain of papers.
In fact, I spent all my i
8 time --
l i
l i
9!               Q       I'm sure you did.
9 !
10 l               A       That was about the time I issued an instruction I
Q I'm sure you did.
11             that I didn't read anything over two pages long, which i
10 l A
12 '           still exists in the Company, unless somebody asked me 13       ;    please.
That was about the time I issued an instruction I
i 14 !                         Unless Mr. Nute asked me please to read it                       -
11 that I didn't read anything over two pages long, which i
I 15
12 '
                    ;
still exists in the Company, unless somebody asked me 13 please.
carefully, four pages, I probably didn't. read it that 16             carefully.
i 14 !
i 17                 0       Was your directive to limit everybody to two 18             pages, was that after Mr. Nute gave you a 4-page document?
Unless Mr. Nute asked me please to read it s
19                 A       No, no, that was after I kept getting 50 and 20             60 page reports.                                                                 I l.
I 15 carefully, four pages, I probably didn't. read it that 16 carefully.
21                 Q         I sec.
i 17 0
t 22 i                          De vou recall whether Mr. Nute asked you                 c         '
Was your directive to limit everybody to two 18 pages, was that after Mr. Nute gave you a 4-page document?
i l
19 A
:: i           read all fcu     pages?
No, no, that was after I kept getting 50 and 20 60 page reports.
24 l               A         I don't remenier his doing so, nc.                 Which i
I l
25 !           dcesn't mean he didn't do it.                   I just don't reme-S er .
21 Q
F f 4
I sec.
                                              .m ::    *ere.:{ .:Rerc-::.1, $cc 4.44 4C Rm OArt*Ca. STR EE*
t De vou recall whether Mr. Nute asked you c
22 i i
l
:: i read all fcu pages?
24 l A
I don't remenier his doing so, nc.
Which i
25 !
dcesn't mean he didn't do it.
I just don't reme-S er.
*ere.:{.:Rerc-::.1, $cc F f 4
.m 4.44 4C Rm OArt*Ca. STR EE*
W A S HIN G*O N. 34 20001
W A S HIN G*O N. 34 20001
                                ^
^
[                     (202} 347 37CC
[
                                  . . ,    O, c/ m
(202} 347 37CC O, c/
m


63 1
63 1
Q     I don't know whether you're a quick reader or 2
Q I don't know whether you're a quick reader or 2
not, and I don't like to a.sk you to read all four pages f
not, and I don't like to a.sk you to read all four pages f
3 very quicki -   but could I ask you to scan those four pages 4
3 very quicki -
but could I ask you to scan those four pages 4
to determine whether there's any discussion in here --
to determine whether there's any discussion in here --
5 A     Boy, this is the worst copy I've ever seen.                   Does 6
5 A
Boy, this is the worst copy I've ever seen.
Does 6
anybcdy have a decent copy that I can read?
anybcdy have a decent copy that I can read?
Q     Sure. Is this any clearer than yours?
Q Sure.
Is this any clearer than yours?
8 (Document handed to the witness.)
8 (Document handed to the witness.)
9 A     Yes, this looks a little easier.
9 A
10 Q     Now, what I'm asking you to look for, if you can, I
Yes, this looks a little easier.
sir, is any reference at all to a discussion in that 3,'
10 Q
Now, what I'm asking you to look for, if you can, I
sir, is any reference at all to a discussion in that 3,
meeting of the identify of the witness to be presented by i
meeting of the identify of the witness to be presented by i
I3 m           Dow.
I3 m
f~._       14 (Witness reviewing document.)
Dow.
15                   What was the question again?
f~._
A 18 Q     Is there any indication in that set of meeting 17 notes of a discussion of the identity or character of the 18 witness that Dow should present?
14 (Witness reviewing document.)
19                                                                                         ,
15 A
A    No, I don't see any.                   Well, on the witness I         i I
What was the question again?
            'U don't see any. But I see there was a suggestien that we                         i I
18 Q
            'l l
Is there any indication in that set of meeting 17 notes of a discussion of the identity or character of the 18 witness that Dow should present?
shculdn't volunteer the date.                                                     !
19 A
22                   That gces to the cuestion cf --
No, I don't see any.
l        0 1
Well, on the witness I i
22 I           A     Terminatien date.
I U
don't see any.
But I see there was a suggestien that we i
I l
l shculdn't volunteer the date.
22 l
0 That gces to the cuestion cf --
1 22 I A
Terminatien date.
i i
i i
2#                   - termina:icn date .                   But there's ncthing in C
2#
            *C there suggesting who -he witness should be er shculd net be,
C
                                            ,  :-- i         . n             p c:     72:2~ 1 derm::~1. snc
- termina:icn date.
                                              .44 % cam w m snar?
But there's ncthing in
q e e   A           W A S HI N G TO N. O . .O. 20041 t} li i _U U[
*C there suggesting who -he witness should be er shculd net be,
J 2            <2c22 2.r-aroo
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W A S HI N G TO N.
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20041 J
<2c22 2.r-aroo


61 1
61 1
is that correct?
is that correct?
2                 A       That is correct.
2 A
That is correct.
/
/
3                           But there's also something here which reminds           j 4         me of something that says, "Still think Mr. Cherry may 5       show."     There was a great feeling that this hearing would a       be a very fast one without Mr. Cherry, and --
3 But there's also something here which reminds j
7               Q         I think that's something that most attorneys a       would probably agree to, including Mr. Cherry.
4 me of something that says, "Still think Mr. Cherry may 5
-        9                         (Laughter.)
show."
10                         In scanning these notes, did you have the 11  ,
There was a great feeling that this hearing would a
impressicn that they were reasonably comprehensive of the 12       meeting?
be a very fast one without Mr. Cherry, and --
i 13        -
7 Q
A        I guess so.       Mr. Nute is present,   I can't tell n           '
I think that's something that most attorneys a
14        you that he doesn't take goed notes.
would probably agree to, including Mr. Cherry.
15                         Yes.
9 (Laughter.)
16               Q         Now, in light of the fact -- and I really do 17       understand the difficulty that one has in recollecting 18         avents and statements made semetime ago -- in light of the 19         fact that Mr. ' danes has testified that he hr.d no                       i 20         recollecticn of the witness' character er identity being                   1 21         discussed at the =ecting, and in light of the fact that               -
10 In scanning these notes, did you have the impressicn that they were reasonably comprehensive of the 11 12 meeting?
::          I'm speaking of the 9-2 4 meeting -- and in light cf che
i A
:3         fact that Mr. Nute's nctes of 3-24 do not refer te _;ac
I guess so.
:4       matter, and'in light of .ne fact that Mr. Nute's actes cf
Mr. Nute is present, I can't tell 13 n
:s         Septe=her 21 de refer to that =atter, and in light cf the
you that he doesn't take goed notes.
                                          &:: ']e:'e-:! , Eerciters, $nc 444       064           -a-W A S HI N GTO N. 0.0 20001 8202) 3474700
14 15 Yes.
16 Q
Now, in light of the fact -- and I really do 17 understand the difficulty that one has in recollecting 18 avents and statements made semetime ago -- in light of the 19 fact that Mr. ' danes has testified that he hr.d no i
20 recollecticn of the witness' character er identity being 1
21 discussed at the =ecting, and in light of the fact that I'm speaking of the 9-2 4 meeting -- and in light cf che
:3 fact that Mr. Nute's nctes of 3-24 do not refer te _;ac
:4 matter, and'in light of.ne fact that Mr. Nute's actes cf
:s Septe=her 21 de refer to that =atter, and in light cf the
&:: ']e:'e-:!, Eerciters, $nc 444 064
-a-W A S HI N GTO N. 0.0 20001 8202) 3474700


  .    .                                                                                                62 1
62 1
* fact that Mr. Hanes said he had discussed this matter 'uith
fact that Mr. Hanes said he had discussed this matter 'uith 2
you after September 21 but before September 24, and even
/
/
2        you after September 21 but before September 24, and even 3
3 recogni::ing the testimony you gave at page 2703, do you 4
recogni::ing the testimony you gave at page 2703, do you 4
have any doubt at all that the statement or the concern with regard to the nature of the witness was necessarily 6
have any doubt at all that the statement or the concern with regard to the nature of the witness was necessarily 6         made at that meeting, or the discussion you recall was 7        really a discussion made or had by you with Mr. Hanes?
made at that meeting, or the discussion you recall was really a discussion made or had by you with Mr. Hanes?
8               A       I'm a reasonable man.                         Obviously you planted the t
7 8
9         seed of a doubt in my mind by all of these other statements, 10         by showing me these minutes which may or may not have 11         shown it.       So all I can tell you is, to the best of my 12         ability on Februa y 1977 I was very sure it was done at 13
A I'm a reasonable man.
                  ;
Obviously you planted the t
that. Today I can't be sure.semebody told =b that.
9 seed of a doubt in my mind by all of these other statements, 10 by showing me these minutes which may or may not have 11 shown it.
14                         Yes, you have planted a reasonable seed of 15         doubt by giving me this other input, whether I heard it 16         on the 22nd or the 24th.
So all I can tell you is, to the best of my 12 ability on Februa y 1977 I was very sure it was done at 13 that.
17      '
Today I can't be sure.semebody told =b that.
Q       You' referred.to the new contract in your 18         discussion with Mr. Olmstead.                           I would take it that under 19         t'.at new contract you are relying upon 1.he Midland nuclear 20         plant providing you with steam and electricity, is that                               l I
m 14 Yes, you have planted a reasonable seed of 15 doubt by giving me this other input, whether I heard it 16 on the 22nd or the 24th.
t 21         correct?                                                                               -
Q You' referred.to the new contract in your 17 18 discussion with Mr. Olmstead.
l
I would take it that under 19 t'.at new contract you are relying upon 1.he Midland nuclear l
::                A        Yes.       Mostly steam.                 The electrical contrsc:
20 plant providing you with steam and electricity, is that I
23         is Shor* te C.
t 21 correct?
24                                 want to volunteer sc=ething else.                 My lawyers S         say you never volunteer.                     But --
l A
4     - ,
Yes.
YOS
Mostly steam.
                                                                      ,    a            g e n e            r*        %W= AS"                     $5   UA*
The electrical contrsc:
* II'"-               !
23 is Shor* te C.
24 want to volunteer sc=ething else.
My lawyers S
say you never volunteer.
But --
a 4
g
%W= AS" YOS
$5 UA*
* II'"-
e n e r*
4.44 4CRTM " A FM L. STMEET W A 1MI M QT O N. 3.0 20001
4.44 4CRTM " A FM L. STMEET W A 1MI M QT O N. 3.0 20001
                                    . _ _ _ _ .                  '202) 347-J700
'202) 347-J700


63 l                         Just for the draft,
63 l
:                  0 t
0 Just for the draft, t
2
2 A
_.                          A    I'll say that at this time, in the last two 3!             years, we have more confidence that it will be built at 4
I'll say that at this time, in the last two 3 !
the price and timing than I did two years ago.                   I think 5
years, we have more confidence that it will be built at 4
the price and timing than I did two years ago.
I think 5
progress has been good in the two years.
progress has been good in the two years.
6                   Q     Thank you.
6 Q
7 Just one final matter.                   You were advised, you
Thank you.
-                i 8               sa'd, that anything written with regard to the Dow-Consumers
7 Just one final matter.
                  ;
You were advised, you i
9              arrangements would go to the NRC and, therefore, in that 10               context you assumed that in effect any new developments i
8 sa'd, that anything written with regard to the Dow-Consumers 9
11 were being reported to the NRC'.
arrangements would go to the NRC and, therefore, in that 10 context you assumed that in effect any new developments i
i 12                   A     Yes.
were being reported to the NRC'.
j       ,
11 i
i 1
12 A
13 !                 Q     Who gave you that advice?
Yes.
    %            l (L          14 l                 A     I believe it must have been Mr. Nute.                 It could i
j i
15              have been Mr. Hanes.       I'm pretty sure that it was one of l
1 13 !
i 16              our lawyers.
Q Who gave you that advice?
l 17 [                 Q     And it was in the context --
l 14 l A
1 18                   A     It could have even been Joe Temple.
I believe it must have been Mr. Nute.
l 19                         And it was in the context, wasn't it, that l              Q 20               anything you write is subject to discovery and -
It could (L
21                   A     And they also asked me to provide any nctes or 22               other things that I might have, frcm handwritten notes or i
i l
22 l             any papers I had in my files, l
have been Mr. Hanes.
24                           ME. CH A?l!O FF :       Thank you.         I believe I'm 25               finished.
I'm pretty sure that it was one of 15 i
4   F 1         #    o C*t?! ' Jt: Cal CKCC7tC ', .f.)* tin A
16 l
ff          444 No m me cartT h stat e QQ           w a s MI N <m3 N. O.C. 20001 (1cza s47 21oc
our lawyers.
17 [
Q And it was in the context --
1 18 A
It could have even been Joe Temple.
l 19 l
Q And it was in the context, wasn't it, that 20 anything you write is subject to discovery and -
21 A
And they also asked me to provide any nctes or 22 other things that I might have, frcm handwritten notes or i
22 l any papers I had in my files, l
24 ME. CH A?l!O FF :
Thank you.
I believe I'm 25 finished.
4 F 1 o
C*t?! ' Jt: Cal CKCC7tC ',
.f.)* tin 444 No m me cartT h stat e A
ff QQ w a s MI N <m3 N. O.C.
20001 (1cza s47 21oc


64 1
64 1
MR. PCT *ER:       I just have a couple questions.
MR. PCT *ER:
2                       BY MR. POTTER:
I just have a couple questions.
3               Q     Mr. Oreffice, I'm going to show you again the 4    '
2 BY MR. POTTER:
memorandum which was apparently directed to you from 5           Joseph Temple on Septerier 8, 1976, and I'm going to ask 6           you:
3 Q
7                       Is it a fair statement that whatever the recem-8           mendatien of Joesph Temple, the general manager of the 9           Michigan Division and as head of the negotiating team, 10           whatever recc=mendation he was making to Cow USA for the 11 corporate review was centained within that memorandum?
Mr. Oreffice, I'm going to show you again the memorandum which was apparently directed to you from 4
12                 A     Yes, it was contained within this memorandum.
5 Joseph Temple on Septerier 8, 1976, and I'm going to ask 6
13           Yes, it was.
you:
-f%i       .
7 Is it a fair statement that whatever the recem-8 mendatien of Joesph Temple, the general manager of the 9
14 O     So, to the extent that scmeone might have 15 ,         attempted to characterize Mr. Temple's recccmendation at 16           scme point as a reccmmendation that we walk away from the 17           contract, whatever reccreendation Mr. Temple made 10 18           centained within that memorandum, is that correct?
Michigan Division and as head of the negotiating team, 10 whatever recc=mendation he was making to Cow USA for the 11 corporate review was centained within that memorandum?
i 19               A     It sure is, yes.                                   i i
12 A
i 20               Q     New, if you'11 take a Icek at issue nurier 2, i
Yes, it was contained within this memorandum.
2:           locking again at the Septerter 15, 1976 memcrandum to you
13 Yes, it was.
::            frem Mr. Temole, which is kind of really jusc 1 ccver letter with the seven issues cutlined -here, is -hac 22 l I
-f%
:s           cor~ec:?
i 14 O
:s                 A     Yes.
So, to the extent that scmeone might have 15,
                                              $::- 5 dec[ c.Serc :: 1. $cc 444 4 C 4m ll;.a P'TC L ST14 EI*
attempted to characterize Mr. Temple's recccmendation at 16 scme point as a reccmmendation that we walk away from the 17 contract, whatever reccreendation Mr. Temple made 10 18 centained within that memorandum, is that correct?
W A S HI NGTQ N. 'l3.4ll. 20001
i 19 A
                                                            '202) 347-3700
It sure is, yes.
i i
i 20 Q
New, if you'11 take a Icek at issue nurier 2, i
2:
locking again at the Septerter 15, 1976 memcrandum to you frem Mr. Temole, which is kind of really jusc 1 ccver 22 l letter with the seven issues cutlined -here, is -hac I
:s cor~ec:?
:s A
Yes.
$::- 5 dec[ c.Serc :: 1. $cc 444 4 C 4m ll;.a P'TC L ST14 EI*
W A S HI NGTQ N.
'l3.4ll.
20001
'202) 347-3700


:                                                                                    65
65 I
    .    ,      I 1 i l                 Q     And those are recommended by Mr. Temple and c
1 i l
Q And those are recommended by Mr. Temple and c
i 2
i 2
you approved them, is that correct?
you approved them, is that correct?
i 3
i 3
i                 A     That is correct.           And I think they're approved 4 i i          exactly as recommended.
i A
5I  '
That is correct.
Now, would you agree with me that issue number Q
And I think they're approved 4 i exactly as recommended.
1 6   !
i 5 I Q
2 states:
Now, would you agree with me that issue number 1
7 i                      " Review of the legal aspects, past, present 8   '
6 2 states:
and future, outlook by Jim Hanes" and there's an i
7
9 F       asterisk there, and it goes on and says, I
" Review of the legal aspects, past, present i
10 'l
8 and future, outlook by Jim Hanes" and there's an i
                                          "...particularly the 1975 decision to
9 F
              "                      renegotiate the existing contract to reduce our 12 dependence upon Consumers for steam and power to 13                     an absolute minimum, rather than pursue a claim
asterisk there, and it goes on and says, I
( ..'       - 14 j
l 10 '
i of breach of contract."                     -
"...particularly the 1975 decision to renegotiate the existing contract to reduce our 12 dependence upon Consumers for steam and power to 13 an absolute minimum, rather than pursue a claim
15                           Does that appear in there?
(..'
l 16                           That's what it says.
14 j
A 17                                                                     Is not the asterisk l                  MR. CHARNOFF:         Excuse me.
of breach of contract."
18         '
i 15 Does that appear in there?
next to the word "past" rather than --
l 16 A
19         '
That's what it says.
MR. PO CER:       Yes, that's where the asterisk               i I
l 17 MR. CHARNOFF:
20 appears.
Excuse me.
i 21                                                                                         '
Is not the asterisk 18 next to the word "past" rather than --
BY MR. 2CMER:
19 MR. PO CER:
22                           Now, one final cuestion, and it's along the O
Yes, that's where the asterisk i
              '3               line of the examination that was being ccnducted by :'.r.
I 20 appears.
i 21 BY MR. 2CMER:
22 O
Now, one final cuestion, and it's along the
'3 line of the examination that was being ccnducted by :'.r.
Charnoff:
Charnoff:
              -c Do you recall during the ce_ crate review -- I'm M                     ^
-c Do you recall during the ce_ crate review -- I'm M
c-*:   7::::t cn:c:t:11 Sc:.
r i
r i        ?
?
444 M C a m CA PTTC L S*WEET 4        068        W A $ Mi M GTC N, 3.0.
^
s201) 347 370C 20001
c-*:
7::::t cn:c:t:11 Sc:.
4 068 444 M C a m CA PTTC L S*WEET W A $ Mi M GTC N, 3.0.
20001 s201) 347 370C


66 1            talki7g now -- I mean when the presentation was being 2            made on September 27 to the Cow USA board, whether Mr.
66 talki7g now -- I mean when the presentation was being 1
3           Hanes made any statement to you about whether or not,                       in 4           turn, he had heard of a sts.tement from somebody else as 5          to the type of Cow witness that was to be used?
made on September 27 to the Cow USA board, whether Mr.
6                         MR. CHARNOFF:         Could I have that question read 7           back?
2 in 3
8                        (Whereupon, the reporter read frca the record, 9           as requested.)
Hanes made any statement to you about whether or not, 4
10                         THE Wr" NESS :     I don't remember for sure that 11           Mr. Hanes made the statement, but when I previously 12           testified that I raised some he13 that I made a statement, 13           I know I did at that meeting, because I wanted to make A
turn, he had heard of a sts.tement from somebody else as to the type of Cow witness that was to be used?
v
5 6
'f i
MR. CHARNOFF:
14            sure that the whole management corenittee of Dow USA heard 15           that, that we were going to supply the most knowledgeable 16           witness we had.
Could I have that question read 7
17       .                BY MR. PCT'"ER:
back?
18                 Q     Would I be correct, then, id you did make a 19           statement like that at the September 27, 1976 meeting, that 20             somewhere during the presentation somebody on that review                     l l
(Whereupon, the reporter read frca the record, 8
l 21           team said something to you to the effect that they hac                         :
9 as requested.)
::            heard that a less than knowledgeable witness was being 23           requested?
10 THE Wr" NESS :
:4                       MR. CHA?liCFT :       2xcuse me.             That somebcdy at tha 25           neeting said it, or prior to the meeting said it?
I don't remember for sure that 11 Mr. Hanes made the statement, but when I previously 12 testified that I raised some he13 that I made a statement, 13 I know I did at that meeting, because I wanted to make A
444     069       -  c ,
'f sure that the whole management corenittee of Dow USA heard v
14 i
15 that, that we were going to supply the most knowledgeable 16 witness we had.
17 BY MR. PCT'"ER:
18 Q
Would I be correct, then, id you did make a 19 statement like that at the September 27, 1976 meeting, that 20 somewhere during the presentation somebody on that review l
l l
21 team said something to you to the effect that they hac heard that a less than knowledgeable witness was being 23 requested?
:4 MR. CHA?liCFT :
2xcuse me.
That somebcdy at tha 25 neeting said it, or prior to the meeting said it?
444 069 c,
C f * ]CCAs WCCs*CZ, f:$
C f * ]CCAs WCCs*CZ, f:$
444 N C 8t TH OA Pt Mt. ST14 C ET W A S HI N GTC N. 3.f   20000 (202) 3A 7-JTOC
444 N C 8t TH OA Pt Mt. ST14 C ET W A S HI N GTC N.
3.f 20000 (202) 3A 7-JTOC


            '                                                                            67 1
67 1
i                      MR. PO'I"IER :     Yes, at that meeting.
MR. PO'I"IER :
2l                      THE WITNESS:         No, I certainly believe that it 3         was part of the review, and probably Mr. Hanes was the one i
Yes, at that meeting.
4!         that said it, but I don't remember it.
i 2 l THE WITNESS:
5l                      BY MR. POTTER:
No, I certainly believe that it 3
6;               Q     The only thing that I'm suggesting, Mr. Oreffice, 7!         is:   Is it possible that the first time that you heard the 8i        Dow employee's statement that they had, in turn, heard i
was part of the review, and probably Mr. Hanes was the one i
9         that a Consumers Power Company's attorney had requested l
4 !
10   ;    a less than knowledgeable witness, is it possible that the 11          first time you heard that statement was at the Sep' ember 12 !         27 meeting?
that said it, but I don't remember it.
13                         MR. CHAR'iOFF:         I've got an objection as to the 14 i         characterization of that, because I think Mr. Hanes' g_             I 15 t
5 l BY MR. POTTER:
testimony was - and I think even Mr. Oreffice's testimony 16           was - that it was a suggestion or a statement made in the 17           context of kind of a rambling discussion, as distinguished 18 i
6 ;
frca a request that Dow put on a non-knowledgeable witness.
Q The only thing that I'm suggesting, Mr. Oreffice, 7 !
19                         MR. POTTER:         Well, the record will speak for i
is:
20          itself.                                                               l l
Is it possible that the first time that you heard the 8 i Dow employee's statement that they had, in turn, heard i
21                         MR. CHAR:iOFF:         I just note an objection to the l
9 that a Consumers Power Company's attorney had requested l
::            term " request."
10 a less than knowledgeable witness, is it possible that the first time you heard that statement was at the Sep' ember 11 12 !
                  .I i
27 meeting?
23                         '"HE 'C'"NES S :       Is it possible that the first 24 l   time ! hea-d it was -
13 MR. CHAR'iOFF:
:5                         3Y MR. PC'"TE R:
I've got an objection as to the 14 i characterization of that, because I think Mr. Hanes' g_
l 444       010       ace- ?ce d a<==== D=
I testimony was - and I think even Mr. Oreffice's testimony t
444 NORTH O A PITO I. STMEET f                             W A S MINGTO N. Q.C. 20001 ucm we
15 16 was - that it was a suggestion or a statement made in the 17 context of kind of a rambling discussion, as distinguished 18 frca a request that Dow put on a non-knowledgeable witness.
                  ]
i 19 MR. POTTER:
Well, the record will speak for i
itself.
l 20 l
21 MR. CHAR:iOFF:
I just note an objection to the l
term " request."
.I i
23
'"HE 'C'"NES S :
Is it possible that the first l
time ! hea-d it was -
24
:5 3Y MR. PC'"TE R:
l 444 010 ace- ?ce d a<==== D=
444 NORTH O A PITO I. STMEET f
W A S MINGTO N. Q.C.
20001
]
ucm we


63 1
63 Q
:            Q    That the first time you heard of a Consumers 4
That the first time you heard of a Consumers 1
2          Power Company request relating to the character of the 3        Dew witness, is it possible that the first time you heard that request was at the September 27 =eeting, rather than 5
4 Power Company request relating to the character of the 2
Dew witness, is it possible that the first time you heard 3
that request was at the September 27 =eeting, rather than 5
at the September 24 =eeti'.ig?
at the September 24 =eeti'.ig?
6 MR. CHARNOFF:       Same objection to the word 7         " request."
6 MR. CHARNOFF:
8l                    THE WITNESS:       I guess anything is possible
Same objection to the word 7
* 9        2-1/2 years later, between this question whether it's 10         September 22 or 24 or 27, 1976, you are all putting a seed 11         of a doubt in my mind.
" request."
12                       When I was fresher on this, I thought for sure 13 l       it was September 24th_ when I first heard about it.
8 l THE WITNESS:
A I         14                       BY MR. POTTER:
I guess anything is possible 2-1/2 years later, between this question whether it's 9
15                 Q     One last question:
10 September 22 or 24 or 27, 1976, you are all putting a seed 11 of a doubt in my mind.
16                       At any ti=e, Mr. Oreffice, prior to the -- I 17          won't even put a date on it - at any time did any Dcw 18          lawyer or any Dow employee cece to you and suggest that 19          Dew put on a less than kncwledgeable witness?
12 When I was fresher on this, I thought for sure 13 l it was September 24th_ when I first heard about it.
1 20                 A     Absolutely net.           I think that it was put in   l 1
p A
21           terms to me that such a thing had been suggested by                 l i
I 14 BY MR. POTTER:
2:           Censumers, and none of cur pecple thcught that it was a 22           gced idea.
15 Q
24                       MR. PCCTER:       I have no iuruher cuesuicns.
One last question:
25                       MR. CLMSTEAC:         I have nc furuher questicns, cse:- %'e :l c%:c-i, Dnc w NCRW 04 pm t,       start?
16 At any ti=e, Mr. Oreffice, prior to the -- I won't even put a date on it - at any time did any Dcw 17 lawyer or any Dow employee cece to you and suggest that 18 Dew put on a less than kncwledgeable witness?
h                  #AsHINGTCN. 3.C. 20001
19 1
                                                      '202) Jd7 37CC
20 A
Absolutely net.
I think that it was put in l
1 21 terms to me that such a thing had been suggested by l
i 2:
Censumers, and none of cur pecple thcught that it was a 22 gced idea.
24 MR. PCCTER:
I have no iuruher cuesuicns.
25 MR. CLMSTEAC:
I have nc furuher questicns, cse:- %'e :l c%:c-i, Dnc h
w NCRW 04 pm t, start?
#AsHINGTCN. 3.C.
20001
'202) Jd7 37CC


69 1
69 1
SY MR. CHAPlIOFF :
SY MR. CHAPlIOFF :
2                 0     When it was put to you that there was a Consumers 3      ,    Power Company representative who suggested the possibility 4          of a witness not fully knowledgeable of Mr. Temple's 5          positien, was it told to you in the context of that there 6         was some concern because Mr. Temple had taken some public 7        positions before, or was it simply told to you nakedly?
2 0
8                     Do you remember?
When it was put to you that there was a Consumers Power Company representative who suggested the possibility 3
91              A     I think the context was this is going to be a 10          quick hearing, Cherry's not even going to show up, you 11          really shouldn't send somebody that knows too much and 12         prolong the thing. And that's the kind of context I
of a witness not fully knowledgeable of Mr. Temple's 4
    -        13     +  remember it in.
positien, was it told to you in the context of that there 5
u. .
6 was some concern because Mr. Temple had taken some public positions before, or was it simply told to you nakedly?
14                     I don't remember specifically anything being 15        said about Mr." Temple not being the witness.                 I =cre 16 re= ember it being the witness doesn't know too much, he 17         can't answer too much.
7 8
18               Q     Incidentally, would Mr. Klemparens -- who was 19       Mr. Klemparens?                                                           ,
Do you remember?
20               A     He's changed about three jobs since, so ycu're               j 21         asking who he was then?
9 1 A
2:               O   Right.
I think the context was this is going to be a quick hearing, Cherry's not even going to show up, you 10 really shouldn't send somebody that knows too much and 11 12 prolong the thing.
23               A   He was head of Pricing, Ccw USA.                 ? ricing and 24         scme cther marketing functions.
And that's the kind of context I 13 remember it in.
:5 1             O   And what was his task?                 I .ccice that in the
+
                                      <      c~l:: 9ede:::[ c@:re*: 1, $nc 444 N C le *H CA PtTO L. STMEET
: u..
                                  .f W ASHINGTC N. 3.4" 20001 (202J 3474700
14 I don't remember specifically anything being said about Mr." Temple not being the witness.
I =cre 15 16 re= ember it being the witness doesn't know too much, he 17 can't answer too much.
18 Q
Incidentally, would Mr. Klemparens -- who was 19 Mr. Klemparens?
20 A
He's changed about three jobs since, so ycu're j
21 asking who he was then?
2:
O Right.
23 A
He was head of Pricing, Ccw USA.
? ricing and 24 scme cther marketing functions.
:5 1 O
And what was his task?
I.ccice that in the c~l:: 9ede:::[ c@:re*: 1, $nc 444 N C le *H CA PtTO L. STMEET
.f W ASHINGTC N. 3.4" 20001 (202J 3474700


              !                                                                          70 1 '
70 1
September 15 :.amorandum frem Mr. Temple to you he 2       recommended that Al Kle=parens be the team leader for this 3       corporate DOW USA review, corcorate review.
September 15 :.amorandum frem Mr. Temple to you he 2
4             A     Right.
recommended that Al Kle=parens be the team leader for this 3
5             Q     Was he named the team leader?
corporate DOW USA review, corcorate review.
6             A     Yes.
4 A
7             Q     By you?
Right.
a,           A     Yes. His specialty, obviously, was the econcmic 9       aspects.
5 Q
10             O     Was it his function as team leader to beccme 11       knowledgeable as to the Dow position with respect to the 12       Dow-Consumers arrangements?
Was he named the team leader?
i
6 A
      ,,  13 .                 MR. POTTER:       I'm nod sure what you mean by i.
Yes.
(q               ,
7 Q
14       Dow-Consumers arrangements.
By you?
15                   MR. CHAPSOFF:           Let me state it again.     I'm 16       sorry.                                    .
a, A
17    )            BY MR. N'IOFF:
Yes.
1 18             Q     As team leader - I'm not sure whether it was 19       team leader er project review leader or what, but I li 20       understand we're talking about the grcup assigned by you l
His specialty, obviously, was the econcmic 9
:1       at Mr. Temple's suggestien to have a Ocw CSA review cf --
aspects.
:2       using M . Temple's language in his Septerter 3 r.e=0             --
10 O
:2       a ~:cw , USA review of the Ccw Michigan, er at leas- Mr.
Was it his function as team leader to beccme 11 knowledgeable as to the Dow position with respect to the 12 Dow-Consumers arrangements?
:4       Temple's cwn cenclusiens, that under ccday's cendiciens --
i 13.
:5       ref erring to Septerier 3 - the nuci tar project will be s   - r         ,
MR. POTTER:
y    ** %M C$*     UCA$ $ SMsYL                   C0.
I'm nod sure what you mean by i.
h     ,        m NCMTN OAP           L. ST1t EI?
(q 14 Dow-Consumers arrangements.
W A S HI N G TC N. 2.C. 20001 42c21 147 3700
15 MR. CHAPSOFF:
Let me state it again.
I'm 16 sorry.
BY MR. N'IOFF:
17
)
1 18 Q
As team leader - I'm not sure whether it was 19 team leader er project review leader or what, but I l
20 understand we're talking about the grcup assigned by you i
l
:1 at Mr. Temple's suggestien to have a Ocw CSA review cf --
:2 using M. Temple's language in his Septerter 3 r.e=0
:2 a
~:cw, USA review of the Ccw Michigan, er at leas-Mr.
:4 Temple's cwn cenclusiens, that under ccday's cendiciens --
:5 ref erring to Septerier 3 - the nuci tar project will be s
- r
** %M C$*
UCA$ $ SMsYL C0.
y h
m NCMTN OAP L.
ST1t EI?
W A S HI N G TC N. 2.C.
20001 42c21 147 3700


      .                                                                    71 1     most likely disadvantageous to Dow and to the Midland
71 1
    -    2      plant.
most likely disadvantageous to Dow and to the Midland 2
3                 He was asked to make that review, wasn't he, 4     the review of the Ccw Michigan?
plant.
5           A     Mr. Klomparens?
3 He was asked to make that review, wasn't he, 4
e           Q     Yes.
the review of the Ccw Michigan?
7 ,        A     He was the team leader, but I think in this a     context the team leader -- he was really part of the 9 !    econcmic thing, and the team leader was somebody to get I
5 A
10 i    everybody together so that they could come up with a 11     conclusion.
Mr. Klomparens?
12 i               There were seme people very senior to Mr.
e Q
13     Klomparens in that group.               ,
Yes.
    ~
7 A
14 ;         O     But in sordoing he was asked, in effect, to 15    ,
He was the team leader, but I think in this a
become kncwledgeable about the Ccw --
context the team leader -- he was really part of the econcmic thing, and the team leader was somebody to get 9 !
16           A     In general, but you could not expect a man who 17     had not been involved with this to beceme knowledgeable 18     of'every detail. That's why we had seme other people 19       running each part of it.
I everybody together so that they could come up with a 10 i 11 conclusion.
12 i There were seme people very senior to Mr.
13 Klomparens in that group.
~
14 ;
O But in sordoing he was asked, in effect, to become kncwledgeable about the Ccw --
15 16 A
In general, but you could not expect a man who 17 had not been involved with this to beceme knowledgeable 18 of'every detail.
That's why we had seme other people 19 running each part of it.
1 I
1 I
:o           Q     Okay. Would it be unreascnable for, say, an     ;
:o Q
i I
Okay.
:        outside lawyer like myself or !ir. ?ctter, who recccnized
Would it be unreascnable for, say, an i
::      that a gentleman like fir. Kle=parens was asked Oc becc=e
I outside lawyer like myself or !ir. ?ctter, who recccnized that a gentleman like fir. Kle=parens was asked Oc becc=e team leader of this review, te ass =e that M. K1c=parens
::      team leader of this review, te ass =e that M . K1c=parens
:4 would ' eceme kncwledgeable of the Ocw-Cens=ers arrangements
:4       would ' eceme kncwledgeable of the Ocw-Cens=ers arrangements
:s and the Ccw intent with regard ec the Midland project?
:s       and the Ccw intent with regard ec the Midland project?
444 074 a..:s s ag e am 444 4CRW CAMTC L.
444     074     a..:s s ag e am 444 4CRW CAMTC L.       STREET M AS HI N GTO *4 3.0 200o1             (
STREET M AS HI N GTO *4 3.0 200o1
i2o2J 247 c.7oo               ,
(
i2o2J 247 c.7oo


72 I                                           I'm going to have to object.     In MR. POTTER:
72 I
2                cl1 fairness, there's no way Mr. Oreffice can form a 1
MR. POTTER:
I'm going to have to object.
In 2
cl1 fairness, there's no way Mr. Oreffice can form a 1
judgment as to whether an outside lawyer should draw frca 4
judgment as to whether an outside lawyer should draw frca 4
a document appointing semebcdy as head of a commission or 5
a document appointing semebcdy as head of a commission or 5
a review team inside of Dow.
a review team inside of Dow.
6                         You could rephrase it, but --
6 You could rephrase it, but --
7                                               I'11 accept that.
7 MR. CHAMIOFF:
MR. CHAMIOFF:
I'11 accept that.
8 BY MR. CHARNOFF:
8 BY MR. CHARNOFF:
9                         Would you, Mr. Oreffice, in reviewing documents Q
9 Q
i to ;             such as Board Exhibits 1 and 2, under which you see the 11               assignment of Mr. Klemparens to make this review, would you i
Would you, Mr. Oreffice, in reviewing documents i
12               assume that either before the review or as a consecuence m      13 I           of the review that the team leader would become knowledgeable 14               of the studies conducted by each of the seven task forces, 15          +
to ;
and of the results of those studies?
such as Board Exhibits 1 and 2, under which you see the 11 assignment of Mr. Klemparens to make this review, would you i
16                   A     Ch, I would hope that whoever is the leader 17             would find out about each of the things, because he's going 18 to have to put it all together.
12 assume that either before the review or as a consecuence 13 I of the review that the team leader would become knowledgeable m
19                         But, again, I don't think he'd beceme kncwledge-20             able of all the details.         I dcn't think there's ani wa/
14 of the studies conducted by each of the seven task forces, and of the results of those studies?
l 21             anybcdy can do that.
15
22                   0     Ee might net becc=e the nest kncwledgeable 23             persen, but he wculd beccme kncwledgeahle as ce che nature 24             cf these task force studies and cesults Of these, se chac 25             he cculd sum these up and present an inic=ed cpinion Oc you 444     07b           F f          #
+
CCf i
16 A
                                                      * $dCCCI         O)\dOWCA,a/[c0 4d4 4 C m *w CA P'TC t. ST1R E C Af AS Mt NGTC N. lll.a 10001 (302) 3474100
Ch, I would hope that whoever is the leader 17 would find out about each of the things, because he's going 18 to have to put it all together.
19 But, again, I don't think he'd beceme kncwledge-20 able of all the details.
I dcn't think there's ani wa/
l 21 anybcdy can do that.
22 0
Ee might net becc=e the nest kncwledgeable 23 persen, but he wculd beccme kncwledgeahle as ce che nature 24 cf these task force studies and cesults Of these, se chac 25 he cculd sum these up and present an inic=ed cpinion Oc you 444 07b CCf * $dCCCI O)\\dOWCA, /[
i F f a c0 4d4 4 C m *w CA P'TC t.
ST1R E C Af AS Mt NGTC N.
lll.a 10001 (302) 3474100


73 1
73 1
                  !          and to your board, isn't that right?
and to your board, isn't that right?
l i
l i
2   '
2 l
_            l                A       Yes, although some were presented by some of 3 '
A Yes, although some were presented by some of I
I the task force --
3 the task force --
4 '
4 '
Q       Well, they might ask the sub task force members 5   >
Q Well, they might ask the sub task force members 5
i to make some specific presentations, but you would assume 6
to make some specific presentations, but you would assume i
                    )       uhat this chairman or task force leader would become 7
6
{       knowledgeable and informed, so that he could give you an 8i    i       informed opinion, isn't that right?
)
9
uhat this chairman or task force leader would become 7
,                    l           A       Yes, but not necessarily deeply so.         What I i
{
to I i     tried to say in the very beginning, he was not the boss i
knowledgeable and informed, so that he could give you an 8 i informed opinion, isn't that right?
11 {           of these other people.       He was more of a coordinator of 12 this whole effort.
i 9
I 13 i Q       But he would become more deeply involved than, O       14
l A
      -              j    say, you would, as the recipient of the report, would he not?
Yes, but not necessarily deeply so.
I 15 !               A       Without a doubt.           Absolutely.
What I i
16       '
to I i
MR. CHARNOET :       I have no other questions.
tried to say in the very beginning, he was not the boss i
11 {
of these other people.
He was more of a coordinator of 12 this whole effort.
I 13 i Q
But he would become more deeply involved than, O
14 j
say, you would, as the recipient of the report, would he not?
I 15 !
A Without a doubt.
Absolutely.
16 MR. CHARNOET :
I have no other questions.
17 BY MR. PO"""ER:
17 BY MR. PO"""ER:
18 Q       Just one further, Mr. Oreffice:
18 Q
Just one further, Mr. Oreffice:
19 Regarding again Mr. Klomparens' role, basically il f
19 Regarding again Mr. Klomparens' role, basically il f
            'O he was the member of the review team that was to conduct             l' 21 the investigatien as to the ecencaic aspects, is that right?
'O he was the member of the review team that was to conduct l'
U                   A       Well, it's clearly stated nere that he was, I among other -hings , te de the impact, the ecenceic imract.
21 the investigatien as to the ecencaic aspects, is that right?
U                   Q     And he was to be the administracive head Of :ne 25 cuher members cf the ceam?
U A
                                    %              ll*   d5 % 0 SOMsY$              $
Well, it's clearly stated nere that he was, I among other -hings, te de the impact, the ecenceic imract.
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And he was to be the administracive head Of :ne 25 cuher members cf the ceam?
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74 j
74 j
1 l                 A     Right.
1 l
A Right.
i i
i i
2                             And he was not to be spending a lot of time Q
2 Q
3 i             trying to conduct his own review of his area while he was i
And he was not to be spending a lot of time 3 i trying to conduct his own review of his area while he was i
f 4
f 4
trying to conduct a review of everybody else's area as well, i
trying to conduct a review of everybody else's area as well, i
5               is.that true?   He relied upon the other team members to do 6                their own reviews?
5 is.that true?
i 7i                    A     Without a doubt.         We had, I repeat, some very i
He relied upon the other team members to do their own reviews?
l
6 i
-            8                senior people doing that.
7 i A
9I                    Q     And at the actual presentation before the             Dow 10 !             USA board most, if not all, of the panel menbers in fact i
Without a doubt.
l 11 =             made their own presentations, did they not?
We had, I repeat, some very i
i 12      f             A     That's right.       As I say, we had some very senior 13 !             people on this, including a member of the Board of Directors i
l 8
senior people doing that.
9 I Q
And at the actual presentation before the Dow 10 !
USA board most, if not all, of the panel menbers in fact i
l 11 =
made their own presentations, did they not?
i f
A That's right.
As I say, we had some very senior 12 13 !
people on this, including a member of the Board of Directors i
r%~
r%~
14 l       of th'e Dow Chemical Company, who was not part of Dow USA.
l of th'e Dow Chemical Company, who was not part of Dow USA.
15 '                          We tried to pull the best people.
14 We tried to pull the best people.
1 16 :                         What I liked about the recommendation that Joe 17 l             Temple made was that he really was getting the best men for i
15 '
i 18               each part of the review that we had around.
1 16 :
19                           BY MR. C'-IARNOFF :
What I liked about the recommendation that Joe 17 l Temple made was that he really was getting the best men for i
20                     Q     Why did he suggest to you that-Mr. Klomparens he         !
i 18 each part of the review that we had around.
I i
19 BY MR. C'-IARNOFF :
21                 the team leader, do you know?             Cr why did you agree with
20 Q
::                that selection?
Why did he suggest to you that-Mr. Klomparens he I
::                      A     Well, I agreed with it because : thought he was --
i 21 the team leader, do you know?
:              .l again, 2-1/2 years ago : thought he was a fine man to do it.
Cr why did you agree with that selection?
:s                 He probably had the time available frcm his regular duties.
A Well, I agreed with it because : thought he was --
.l again, 2-1/2 years ago : thought he was a fine man to do it.
:s He probably had the time available frcm his regular duties.
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75 1
That's part of it. And I thought he was a good T.an to do 2       <
That's part of it.
                        ~..
And I thought he was a good T.an to do 2
3                 -When you look at who else was on this team and 4       their time availability, and ability to put all of it 5       together, there's probably only one other guy who could 6       have done it. And it was a matter of selecting one.
< ~..
I 7             Q   And you did value his judgment as well as the 8       judgments of each of these members?
3
9             A   Obviously.
-When you look at who else was on this team and 4
10             Q   And so did the Dow USA board, I take it?
their time availability, and ability to put all of it 5
11             A   All of these would be people who had the highest 12 ,     esteem of the Cow USA board.
together, there's probably only one other guy who could 6
have done it.
And it was a matter of selecting one.
I 7
Q And you did value his judgment as well as the 8
judgments of each of these members?
9 A
Obviously.
10 Q
And so did the Dow USA board, I take it?
11 A
All of these would be people who had the highest 12,
esteem of the Cow USA board.
i t
i t
13                   MR. CHAFlIOFF :     Thank you, m           ,
13 MR. CHAFlIOFF :
Thank you, m
i
i
        ~
~
14                   MR. OIldSTEAD:       I assume, Mr. Oreffice, that 15 '     you've been advised that there may be a possibility of 16     1 your having to appear and testify in July?
14 MR. OIldSTEAD:
17                   MR. OREFFICE:         I have heard that. I don't know 18       when in July, because I'm going to be out of the country.
I assume, Mr. Oreffice, that 15 '
19                   MR. CHARiOFF:       Washington is lovely in July.
you've been advised that there may be a possibility of 16 your having to appear and testify in July?
I 20                   MR. CREFFICE:         I hate that place.                 l il
1 17 MR. OREFFICE:
:1                 (Whereupon, at 12:30 p.m., the taking of the
I have heard that.
::      depositi n was concluded.)
I don't know 18 when in July, because I'm going to be out of the country.
23 24 25 444   078 5: - ?cde .;:I . ?cyc::::1,     One.
19 MR. CHARiOFF:
Washington is lovely in July.
I 20 MR. CREFFICE:
I hate that place.
l il
:1 (Whereupon, at 12:30 p.m.,
the taking of the depositi n was concluded.)
23 24 25 444 078 5: - ?cde.;:I. ?cyc::::1, One.
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l 1l CERTIFICATE OF NOTARY PUBLIC i
2l 3                            I, Mfd #ff. MA/           m a notary public, do 4l       hereby certify that the witness whose testimony appears 54       herein, appeared before m'e and was duly sworn by me.
2l I, Mfd #ff. MA/ m a notary public, do 3
                                                                                  /hJ fn. b < 1 " w           "
4l hereby certify that the witness whose testimony appears 54 herein, appeared before m'e and was duly sworn by me.
7!
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I                                               Notary public in and 1or the 8l ;
I Notary public in and 1or the 8l th<AWJ Ands
th<AWJ Ands                   Shrua0, 9         >!r commission expires 10 11l                 N R. muc2 EmL*y Public. Midland County, Michigm
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      -                                    My Commission D-l-es Aepst 3,1950
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12 13:
1 14 CERTIFICATE OF COURT REPORTER 15 l
1 14                                   CERTIFICATE OF COURT REPORTER 15                                                                                         !
16j I,
l 16j                           I,     William E. Landon       , Court Reporter     do   j i                                                                                   l 17!       hereby certify that the testimony contained herein is a true                   l I
William E. Landon Court Reporter do j
18         record o f the testimony given by said witness, and I further
i l
  .                          19         certify that I am neither attorney nor counsel for, related                     ,
17!
20           to or employed by any of the parties to the action i n which
hereby certify that the testimony contained herein is a true l
                            'l         this statement is taken: and, further, that I am not a k                                 l 22         relative or an employee of any attorrey or counsel employec 23           by the parties hereto, cr financially interes:cd in the 24l action.
I' 18 record o f the testimony given by said witness, and I further 19 certify that I am neither attorney nor counsel for, related 20 to or employed by any of the parties to the action i n which
Ice - Fc: rst Re::cr ers, !ne.                                                           p           ,  m kt l
'l this statement is taken: and, further, that I am not a k
l
l 22 relative or an employee of any attorrey or counsel employec 23 by the parties hereto, cr financially interes:cd in the 24l action.
                                                                                                      /                    i
Ice - Fc: rst Re::cr ers, !ne.
                                      !                                                Court Reporter                     ;
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Latest revision as of 15:56, 4 January 2025

Transcript of 790514 Deposition of P Oreffice.Pp 1-75
ML19224D595
Person / Time
Site: Midland
Issue date: 05/14/1979
From: Oreffice P
DOW CHEMICAL CO.
To:
References
NUDOCS 7907130085
Download: ML19224D595 (76)


Text

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NUCLE AR REGUL ATORY COMMISSION r

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IN THE MATTER OF:

't DEPCSITION OF PAUL OREFFICE A.

Place -

Midland, Michigan 1-75 Date.

Monday, 14 May 1979 Pages s

re< ec-ene:

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UNITED STATES OF A?' ERICA 2

NUCLEAR REGULATORY COMMISSICN

^

3 4

DEPOSITIOF OF PAUL OREFFICE i

5 Cow Center Patrick Road and Abbot Street 6

Euilding 2030 Executive Wing 7

Midland, Michigan Monday, 14 May 1979 8

Deposition of PAUL OREFFICE, called for examination at 9

10:35 a.m., pursuant to prehearing conference order of the 10 Atomic Safety and Licensing Board, before Helen M.

Rabbage, 11 a notary public in and for the County of Midland, State of 12 Michigan, when were present on behalf of the respective 13 d

parties?

14 WILLIAM J. OLMSTEAD, Esq., Office of Executive Legal 15 Directer, C.

S. Nuclear Regulatory Commissicn, Washington, D..C., en behalf of the NRC Regulatory 16 Staff.

17 WILLIAM C. PO':"IER, Jr.,

Esq., Fischer, Franklin, Ford, Simon & Hogg, 1700 Guardian Building, Detroit, 18 Michigan;

'R.

L.

DAVIS, Esq., Michigan Division, Legal Department, 19 47 Building, Midland, Michigan 48640; and LESLII F. NU"'E, Esq., Cow Chemical Ccmpany, Midland, 20 Michigan 48640, en behalf of Cow Chemical Ccmpany.

21 GERALD C*iAPlICFF, Esq., and ALLEN WEISEARD, Esq.,

Shaw, Pittman, Pctts & Trewbridge, 1300 M Streec, i

22 N.W.,

Washinc cn, D.

C.

20036, en behalf cf Ccnsumers ?cuer Ccc=any.

2 RCNALD G.

IAMAPCI, Esq., Isham, Lincoln & 3eale, 24 Cne First Nacicnal Plaza, Chicagc, Illincis 50603, en behalf of Censu=ers ?cwer Ccmpany.

25 Mth acscicut =%cem. A4 4 oo7 eed MOR'N CAPfTO L ST1t EZ" W A S HI N t37C N. O.C.

20001 (202) 347-3700

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DIRECT CROSS REDIRECT RECROSS n

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Paul Oreffice 2

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4 69 l

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EXHIBITS:

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(None.)

9 i

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2 MR. OLMSTEAD:

On the record.

^

3 Whereupon, 4

PAUL OREFFICE 5

was called as a witness and, having been first duly sworn, s

was examined and testified as follcws:

7 MR. CLMSTEAD:

Mr. Oreffice, I'm William J.

a Olmstead, counsel for the Nuclear Regulatory Commission s

Staff.

10 The purposc of this deposition s a discovery 11 deposition he?

.o prepare #cr a case which has been 12 scheduled for hearings in July of this year, 1979, pursuant 13 to the Nuclear Regulatory Ccemission's Atomic Safety and

,f t

14 Licensing Board's prehearing conference crder of May 3, w

15 1979-is The issues for that hearing in July are:

17 (1) Whether there was an attempt by the parties 18 or the attorneys to prevent full disclosure of, er to 19 withhold relevant factual information frcm the Licensing Boar *

' "e suspensien hearings; l

g l

3 (2) Whether there was a failure to make affirma- !

tive full disclosure en the reccrd cf material facts relat-

3 ing to Ocw's intentions cencerning performance cf its 24 centract with Consumers;
s (2) We. ether there was an attempt to present s_-

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2-B misleading testimony to the Licensing Scard concerning 1

2 Ccw's intentions; 3

(4) Whether any of the parties or atterneys 4

attempted to mislead the Licensing Scard concerning the 5

preparation or presentation of the Temple testi=cny; and s

(5) What sanctions, if any, should be imposed 7

as a result of affirmative findings en any of the above 8

issues.

9 DIRECT EXAMINATICN 10 BY MR. OLMSTEAD:

11 Q

On February 2, 1977 you were sworn as c witness 12 on behalf of Dov Chemical Company in the Midland remacd 13 proceeding in Chicago, Illinois.

Do you recall appeari.'s

, (.

/

14 and testifying in that proceeding?

w 15 A

Yes, I do.

16 Q

dave you since had cccasion to review that 17 testi=Ony?

18 A

I have read it, yes.

19 Q

Did anycne else assist you in that review?

o A

What do you mean, did anybcdy assist me?

2:

Q Was semebody else present that you discussed your' l

testimeny --

A Nc, there was not.

When I reviewed it i. nediatel';

4 I reviewed it for anything that might have been incerrect,
s and I believe I gave my input en scme misspellings cf things.

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3 I thiric

.:.ebody else might have been present in that sense.

1 I

I have recently reviewed it again by myself.

2 Q

Okay.

At transcript page 2688 you testified that 3

i you were employed by the Dow Chemical Company, President of Dow Chemical, USA, a member of the Board of Directors 5

6 !

of Dow Chemical, a member of the Dow Executive Committee, 7

Finance Committee, and the Public Interest Committea.

8 Has there been any change in your position with 9

the Dev Chemical Company since that time?

10 l A

Yes, there has.

I am now President and Chief i

11 i Executive Officer of the Dow Chemical Company. Also i

Chairman of the Executive Committee.

I am no longer on the 12 i

13 Finance and Public Interest Committees.

14 Q

Thank you.

j Do you recall having read the testimony of ' t.

15 16 Temple as presented in that proceeding?

l 17 i

A have not read the whole of his testimony.

Several years ago -- I'm talking about 77 -- after the 18

'9 thing, I scanned seme of it, but I did not read the whole 20 thing.

21 G

You testified at page 2689, which I believe is l

the next page there, that the testimony of Mr. Temple and 22 1

-i 23 i vcur testi.cny accu ately reflected the Icw cer crate I

24 pcsition as cf that date, Februarf 2,

1977, 25 A

That is ccrrect.

With one thing, that I stated

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4 i

I then, that I want to make sure we always keep clear we i

call it a corporate position, but it was the Dow Chemical, 2

m 3

USA board at the time.

It was not the Dow Chemical Company's corporate board that made these decisions, 5

because we keep our operating decisions pretty well to 6

our divisions.

7 !

MR. POTTER:

Excuse me just one second.

I just 8

want to clarify for the record -- I'm sure the court reporter has already done so -- but I just want to make it 9

i 10 !

clear, at the time these questions are coming in, Mr.

11 Oreffice does have a copy before him of the testimeny that i

l ve gave him earlier, and he's making references to it in 12 i i

13 answering the questions.

l 14 Go ahead.

Thank you.

l L-15 BY MR. OLMSTEAD:

)

Q Does the testimony that you are P.ow referring 16 i i

17 to still currently reflect t2.e Dow USA position?

i 18 A

I don't know if I understand the question.

Does 19 the testinony still reflect today's position?

Has anything 20 changed since '77?

21 C

Right.

22 A

Well, I can't tell you accurately what changes 72 have occurred.

There's been a new cen_ract siened wich 24 Censumers Pcwer vnich has nade sene changes, and I have 25 frankly not followed the details en those because of my s=. n a a=ww.sa 444 o07 444 uCW?M CA8FCL STME U W A S HIN GTC N. O.C.

20001 (202) 347-3700 j

5 new responsibilities over the last year.

But the e's I t 2 !

certainly nothing in my tesi.imony in '77 that I've seen i

l

~

3 I that I would wa:.t to change.

4 Q

During that testimony of 1977 you indicated that 5

you had ordered a review of the Dow position -- I assume 6

you meant the Dow USA position?

7 A

Correct.

a

,Q

-- with regard to the alternative of purchasing 9

steam frem the Midland Nuclear Power Plant.

10 When did you order that review?

11 MR. PO*:'ER :

Excuse me, Mr. Olmstead.

I want 12 to clarify something.

I think you said you were referring 13 to the Dow position as being the Dow USA position.

I

/..

1 1 -. !

think the review was to review the Dow Michigan Division U-ts position.

Is THE WITNESS:

Well, it was the Dow USA position 17 with reference to the Dow Michigan Division.

They estab-IF lished the position.

We Were reviewir y their PGsition.

19 BY MR. OLMSTEAD:

o Q

And the question is:

When did you o. der that i

1 21 review?

I A

In September of 1976.

Q Was that before or fo'. lowing r meeting of the

j boarf, the Ocw USA bea-d, concerning One cresentation of the v'"'"A Divisicn?

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i I I A

The review was ordered before.

The Board met i

2 i after, to consider the recommendations of the Michigan 3

Division.

I 4 '

Q So the decision to order a review was yours 5 '

alone?

i 6

A Essentially.

7 Q

How did you learn of the Michigan Division's 8 !

position concerning the long-ter= desirability of nuclear i

9 '

steam?

l 10 !

A Prom Mr. Temple.

i 11 !

O Did you have ar.

other discussions with either i

{

Dow USA personnel or Dow, Midland Division personnel prior 12 i

13 to ordering a review of the Dow positiin on the nuclear f^

C-14 !

steam con' tract?

15 A

That's 2-1/2 years Tgo.

I've had a lot of 16 responsibilities.

I don't want to give you an answer that's i

17 l not 100 percent accurate.

I don't remember having an; others except for Mr. Rocke, Mr. David Rooke, who was H3 present during a discussion I had with Mr. Temple.

I M3

(

20 reme=ber that.

l But essentially no.

Essentially I looked at the l 21 f

22 recccmendations of the Mi higan Division and said that I 23 thought that a review needed to be done.

24 !,

But, as I said, 2-1/2 years have gene by, and I

I may have talked te ene of my other 1

'ng asscciates.

25 Snc.

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7 s

I i O

All right.

Who was Mr. Rocke?

2 l A

Mr. Rocke at the time -- he's currently President i

J of Dow Chemical USA.

He took my job.

At the time, September 1976, I'm not sure if he was already head of 4

operations, vice president in charge of operations of Dow 5

a Chemical USA, or i" he was just assuming that position and 7

he was still head of our hydrocarbons and energy.

8 In either situation he would have been very t

9 deeply involved.

I don't remember the exact date, because i

there were several changes in those days occasioned by the 10

~

11 death of one of our top people, t

12 !

Q Do you recall what specific guidance you gave to I

13 the review g cup?

I C(-

14 A

What specific guidance?

Essentially - well, I i

l 15 don't know what you mean by specific - essentially I

~

16 Wanted a whole review of the matter, to see whu e we were l

17 {

coinc_.

18 Q

But you didn't just say do a whole review, you --

19 A

Well, we had a recen:=endation from the Michigan Division, and I asked them to take a look at the recccmenda-l 20 21 tien of Michigan Division to see what our position should 22 be.

O I have here a doct:nen-which was in the under-lying proceeding, Midland Intervenors Exhibit Nurther 60.

24

5

"'his is Exhibit CD, which is called " Draft !.EN" which :

c::

.7 :c:( 8 :c::ci, $nc.

M P 1 4g un ~cm =Arnet sner-4 was macrc~. :.c. 2ooo, 44u]- tac 23 u. -a m

i 8 I l believe is Lee F. Nute, " Outline Supplied by Consumers 2 i Power, October 6, 1976," which I'm going to shrw to you, 3 Mr. Oreffice, and -- l MR. CHARNOFF: Just one moment, please, while we 3 get that out. 6 (P ause. ) 7 MR. CHARNOFF: Okay, we have it. i 8 (Document handed to the witness.) 9 SY MR. OLMSTEAD: 10 0 I want to go over -- there is a page, and then 11 there's a number 2, and then there's another page with the 12 Roman numeral II. Then,there's a Roman numeral III, then 13 Roman numeral IV of that testimony. l g-I 14 The first page of Roman numeral IV -- this was s 15 entitled, "Dow Chemical USA Review of Michigan Division 16 Position." 17 Mr. Oreffice, I'm going to ask you to take a la mcment to read IV-A, Scope of the Review. (Witness reviewing document.) 19 20 A Okay. j 21 Q The. next to the last sentence of that pa agraph I I says: i 22 "The g oup's cenclusions were to be censistene w:. n Ocw's centract cbligations witn Cens=ers Pcwer, I. 25 l and Ccw's censent crder with the Michigan Air Pollution =:: 7:ce=1 CS:ccitc.t. p r ~ r o !r:c AA .u wearu opers sTwert 4" wasmnarou. .c zoooi (202J 347-3700

9 4 { Control position." 1 2 i Do you recall giving guidance to the group, the i 3 l review group, of that type? i i 4 ' A These are the group's conclusions. I don't see l how that has anything to do with my -- 5 ' 6 Q Well -- 7 A It has nothing to do with the guidance I may I 8 have given them. 9 Q The paragraph says that you formed an independent review group, and the group was told to conduct an inde-10 11 pendent review. 12 A That is correct. i 13 Q And then it says: r\\ I l 14 ' "The group's' conclusions were to be..." which 15 I take to mean that was some guidance given to the group as 16 to how they were to conduct this review. My question ir 17 whether you recall giving guidance of that type. 18 A It makes sense, but I don't -- I do not recall 2-1/2 years later exactly what the instructions were I had 19 20 given them. 21 Q When were you informed of the conclusions of the ! review croup? 22 A I believe tne ::.rst One was at a meet =c c: t i

t I the C. S. Area Operating beard that heard the whcle review.

25 But, again, if they gave me any advanced nctice of wha: i A4~ uIi M M g g - en u.nu mm W A S HI N GTC N. 3.C. 10001 l 202) 347-J700

10 1 they were going to say, I consider it immaterial, but I j i 2 l just don't remember. i 3 C Did you recall receiving those recommendations i before or after you met with Consumers Power's personnel 4 5 concerning the contrcct? s' A Without looki.ng at a calendar, there's no way I i 7 ; can remember the minutiae of what day what happened. I a' O Do you still have a calendar from that time period? 9 l A~ I'm sure I have. 10 l 11 Q Along that same transcript page there, you I 12 testified that there had been no threats of litigation concerning the Dow-Consumers contract from consumers prior 13 i N I to September 1976, 14 s 15 A What page are you on? 16 Q I think it's the next page' 17 MR. CHARNOFF: What transcript number? 18 MR. OLMS"EAD: Well, it should be about 2692, or 19 is it -947 i

o Here it is.

Page 2692. l 1 21 "'HZ iTI"" JESS : "' hat testimony is correct, to my j kncwledge. 22 3Y M2. OUiS"'EAD : 24 0 Were you aware of, cr did ycu receive any 25 suggestions fr= Ocnsumers Power that they might sue if Ocw I b O l4 7 M y I A c r::

e :1 c me,:c:::.s. fmc.

s 444 N C pt TM CA Pf706 S T14 E ET

  1. A S HINGM N. O.C.

20001 (2C2) 3d7.3700

E 11 i I failed to support -- to continue to s.pport the contract? 2 : A

Yes, i

3 Q Who made those? A Well, I think if you'll go over this testimony 5 it'was amply suated, and I'm sure my mind was fresher in i 6 '77 on these events than it is today. 7 There were some suggastions -- I heard about it 8 before meeting with Consumers, but then at the meeting we Q had with Consumers sometime in - 10 Q September 24. 11 A - September 24, Mr. Aymond, then Chief 12 Executive Officer of Consumers Power Company. i i 13 I Q And you considered that a t?rcat? l' r A I cert:._nly did at the time. 15 i Q Did you discuss this threat with anyone following 16 the meeting? 17 A Ch, I'm sure I did, with my people. '8 Q Do you recall anyone in particular? 18 A Nc. I'm guessing now, but I'm sure I must have i 20 discussed it with Mr. Temple and Mr. Rocke. Poss2-y with 21 .t. Nute, but I don't know for sure. l Q At any time did Cow censider suing Consumers i under the cntract? s A Yes, we did, as stated in ny testi en*r in '77. i 23 Q Were these thoughts ccmnunicated to Censumers? l

4 P

I f A C*?:!

  • ICCC* 2L CK!rCT*C 1, f:4".

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1 12 1 A I believe so, bus I did not c%unicate it. I'm 2 J not certain. 3 Q If those thoughts were ec=unicated to Consumers, i 4 l' would vou consider those to be threats? I 5 I A Well, maybe a counter -- you can call it a l 6 l counter to a threat. i 7 ! MR. OLMSTEAD: I want to show Mr. Oreffice a 8 memorandum frcm Mr. R.C. Youngdahl to the :iles, dated 9 ! l September 16, 1976, and ask him to review t.st, t 10 i (Document handed to the witness. ) 11 (Witness reviewing document.) 12 l THE WITNESS: Yes, sir. 13 BY MR. OLMSTEAD: i ri 14 I Q All right. You will note that there are seven i '6 i Dow task force assign =ents listed by Mr. Youngdahl, which i 16 the memo indicates were co=unicated to him by Mr. Tample, 17 i of the Dow Company. And Consumers Power was invited to l 18 cec =ent on the -- quote - legal aspects of the decision, 19 which I assume was the Midland Iow position which was 'O cec =unicated to Mr. Youngdahl. 21 MR. PC'""IR : Is that your cuestion? ~, i j 3Y MR. OLMS'"EAD : 23 C Well, this repc-t f cm Te=cle t Yeungdahl .1 l indicates that you have appcinted a task fcree which is to do seven things, and that Censumers Power is being invited n - r c~:1.7e:c.:[ = egetch a :. 44.4 NC m OAP406 STREET W A S MihGTQ N. 3.0. 20001 1202J 347.J700

13 j 1 to co==ent en the legal aspects of the decision, i 2 Do you feel that that's a correct paraphrase of 2 I 3 l the memorandum to files? i 4 MR. PO"'TER : Well, I want to object. 5 MR. OLMSTEAD: Well, let me - I'll say it. 6 ! BY MR. OLMSTEAD: 7 Q Item number 2 here says: 8 " Review the legal aspects of tPe decision, past 9, present and future. Consumers Power Company is 10 invited to make comments." 1 11 ' Do you have any doubt that that's what Mr. Temple 12 cc=municated in this memo? 13 i A I have no knowledge of Mr. Temple communicating g4 14 to Mr. Youngdahl, whether Consumers Power was invited or 15 not invited. i l 16 Q You didn't have any knowledge that he was going 17 to ask Consumers Power to comment on the legal aspects of 18 the Dow position? 19 A If I did, I do not recall it. 2c Q Assuming for the moment that Consumers was 2: invited, pursuant to Mr. Temple's invitation te ec= ment en I t the legal aspects of the Dow task force review, and the t

i Ocw-Cens=ers dispute over the cenr act, would it have been
4 l a f air ass =ptien, given your understanding of the situation.

25 f in 1975, that Cens=ers would view Dow's abandening the i c r: 7e:::al Merc::::1. Sn:. 444 N C R TN C A P 'TC L STREET W A S HIN GTO N. lll.C 20001 1202) 347 3700

l l i 1 1 nuclear steam project as a breach of contract? l 2 MR. POTTER: Again, I'm going to object. You're i t 3 asking Mr. Oreffice to co= ment on material that's contained i 4 l in a memorandum that apparently was recorded by Mr. l l 5 Youngdahl, who was a Consumers Power Compan'! employee, 6 recording the results of a conversation he had with Mr. 7 l Temole. f 8 Now, Mr. Oreffice, to my knowledge, did not 9 part =ipate in that conversation. I don't see how he can i 10 : correctly interpret or pass on anything in th2s memorandum. i i 11 ! MR. OLMSTEAD: Well, I note your objection. I 12 i But my concern is if he had knowledge of that comnunication, i f 13 if it did occur, whi.:h is subject to later proof. g' 14 l MR. PO"rER: He has just testified he has no i l 15 knowledge of what Mr. Temple may ha' a comunicated to i 16 Consumers Power Company. I think in pursuing that line of f questioning you're asking him to -- 17 i 18 MR. OLMSTEAD: I'm asking him to -- i 19 l MR. CHARNCET : May we go off the record? 20 (Discussion off the record.) 21 MR. OMS"'EAD : Back on the record. i SY MR. OLMSTEAO: 23 0 Cid you assign seven cask fcree assignmenrs cc 24 the Ocw review cc " ttee? 25 A There were several specific points, which I cra. nd =w=. sx ._=.4,_ 444 017 W A S HI NG*O N. 3.0 20001 (2C2) 3 7 3700

15 assume to be correctly seven, assigned to the task force 2 l to be done in this review. ~ t { Q And was one of.those task force assignments to 3 l l 4 l review the legal aspects of the decision, past, present 5 l and future? I i 6 A Yes. t 7 ; Q Assuming that Consumers Power was aware of the t l 8 purpose of the Dow review through a communication with Mr. i 9 Temple, what would you have thought if someone has asked l 10. you to ec= ment on the legal aspects of abandening the i 1 11 i nuc1* ear steam contract, had you been Consumers? I 12 i A I don't know what they think. That's not -- 13 Q I'm not asking you what they -- t .s l MR. POTTER: I'm going to object to your charac-14 15 i terization of the communication to Consumers Power to be 16 that it was the abandoning of the nuclear stear. Contract. i 17 To my knowledge that's not what was cccmunicated to 18 Consumers Power. I think that's an unfair characterization i 19 of what Mr. Tc=ple did. l i 20 But either way, this witness dcesn't knew l l 21 anything about that aspect. l 22 TEI hTII;ISS : Lcok, it's cbvious, in asking fcr i 22 a review I'm asking for all of the legal aspects of the 24 whole thing. But I knew nothing of what yeu're : ying to 25 lead to. 44a 01R m, O ff* J C f7Jl 0 OCff C Cf. ede N C 8t W CA P !'O I. ST14 EZ* W A$ MI N GTO N. 3.0. 20001 (2C2) 347470c

16 t 1 BY MR. OLMSTEAD: I Q Were you aware that Dow Che~ical Corporation and Consumers Power Company were having major disagreements \\ 4 over the nuclear steam contract? I 5 A Yes, we had for some time talked of redoing the 6 I contract. The contract has since been changed substantially'. 7 Q And you previously told me in response to an 8 l earlier question that Dow had considered the possibility 9 of legal suit for breach of contract against Consumers I 10 Power, is that correct? MR. POTTER: What was the question again? i 12 i l MR. OLMSTEAD: I think he previously told me i 13 that he had considered suing Consumers for breach of i 14 r / contract. I 15 ,v2. POTTER: Thank vou. l 1 i 16 THE WITNESS: As best I recall, that was after 17 the threat from Consumers Power. 18 BY MR. OLMSTEAD: i i 19 i Q Would it have been reasonable to assume that i l U where the two parties were in disagreement over the centract, that both parties might view the centract as i l being one which they might sue en? i A It's possible, but I ve_rf strencly renn~"er l that all alcng we had been :-fing to renegotiate the i e i cor. tract en certain peines, where both sides had changed t -*m - o a m C'*:** _I C C*.al C H C C*tC~1, $CC,. ~ m .p .xf 444 NCRN O A P'?O L ST1t EE* ,,, g g,, W A S HINGM N, O.C, 20001 ./ (102) 347 370C

I' l circumstances. And, of course, as.I say, this has been l 2 done since them. 3 Let me just add, we're not a litigious company. We'd rather see things settled in an amicable way, and 3 discuss the contract, than have any kind of suits. 6 Q okay. I'd like you to look at the Durand 7 memorandum to files, September 29, 1976, page 10. i 8 l (Witness reviewing document.) 9 You may want to read the first two lines at the to bottom of page 9. 11 I A Who is Judd? 12 l Q Judd Bacon, an attorney for Consumers Power. 13 ! A And who is Rex? O 14 0 Rex Renfrow, an attorney for Const:aers Power. x t L 15 Milt is Milt Wessel. 16 A I know Milt. i 17 How far do you want me to read? 18 Q Just that paragraph. 19 A okay. 20 Q You'll note that it is stated in those notes l that, " Milt stated if Consumers Power pushed further on t i 22 this info matio. then the parties may get into a situation i 1 where Ocw i= mediately filed suit against Consumers Power." 24 i Would ycu view that as a threat? i -c 1 A I den't know what, areng lawve s, I den't knew lf*. 1 F / t c~:r ~aca c ecuci. .c. 444 MCRW O A PPOI. S7EP W A S HI PeGTO N. 0.C 20001 (202) 347 370C

I yg i 1 1 i what you people thought about it. 2 Q Milt Wessel was authorized to represent Consumers 4 3 Power Company, was he not? \\ 4 i MR. POTTER: He didn't represent Consumers Power. l 5 i MR. CLMSTEAD: I'm sorry. Dow Chemical. 6 THE W TNESS: Yes. t 7 ! I dcn't consider -- you made me read one para-8 graph. I don't consider that a threat. I consider it just 9 statement of fact, as he viewed it. i l BY MR. OLMSTEAD: 10 I 11 Q Very well. 12 i During your testimony before the Licensing Board 13 you indicated that if the facts changed Dow might reach a r-i 14 different conclusion, and that Dow was keeping its options i t i 15 l open to re-review the contract again. 16 Has Dow re-reviewed the contract? 17 A Yes. There have been substantial changes of the 18 centract since 1977. 19 Q Is Dow satisfied with the current contract? i 20 MR. P C'"'"IR : I'm going to object. I redily can't I 21 understand where we're going en this kind of - 22. MR. CHAPliOFF : Can I have it read back? I i i 23 MR. ?CT'"ER : Again, I wanc to inte pese an i 2# cbjection. We've get a 10: Of deposing to de in the next i ac three days, and then going at it in the folicwing weeks. C"T:: =.,*:::: C$2yCT!:"4 $CC. ./ ng4 m so m caerreu erwer- /l11f UcI ~ ^ = ~ ~ arc ~ = =

==oa ' (202) 347-3700

i 19 1 i And if we're going to engage in inquiries as to what 2 positions the parties have in the present cor. tract - - I I 3 i don't understand that to be the scope of wha : this proceed-4 ing is before the NRC now. I think it goes back to the 5 preparation of the Temple testimony, at the time of the i hearing around -- what was it - November 30, December 1andf 6 7 2, 1976, and Februa:.y 1977. 8 I just really don't see the relevancy of where i 8 we're going, Bill. 10 i MR. 004 STEAD: Well, I think it's very relevant, but I don't need to make the argument here. i 12 l MR. POTTER: Well, okay, I've made the 13 i objection. I ( b-14 i vou can answer the question, Mr. Oreffice. i 15 THE WITNET,S: Would you re-read the question? 16 : l (Whereupon, the reporter read from the record, 17 ' as requested.) 18

  • HE WI* NESS:

Well, it's a better contract than '9 it used to be. I think our people are satisfied with it 1 20 as it is now, yes. But I do not know that. 21 3Y MR. CUDS"' TAD : 22 Q Eas any emnicyee of Ocw suggested cc you since 23 your testimeny before the Nuclear Regulat y Cc:=issicn i 2# that ane der cor crace review is in order? e A No. '~ A l A ~ fl Q}} c r::- ;::e::i rneyc::: i. 44 N C it 'M CA Pf*01. S'4EET W AS HI N GTO N. 3.C. 200C1 @2) 247-3700

20 l Q At transcript page 2694 you testified concerning 1 i 2 the meeting on September 24 with members of Consumers Power 3 Company. 4 ! Yot-indicated that you remembered very clearly i 5 one part of that meeting that was important to you, and s that was when Mr. Aymond said that if the plant was not 7 ! ready to supply Dow by 1984 Consumers would let Dow off 1 8 the hook. 9 You also testified as to one of Consumers' f lawyers objecting to that. 10 l 11 Then you said you asked your people to follow up 12 on that. i l 13 Who did you ask to investigate that? (C' 14 A My best guess -- and it's a guess -- is that I 15 asked -- I first asked, I remember asking mic of the lawyers, i 16 I and I don't know if it was Hanes or if it was Nute - one 17 of our lawyers, well, what does this all mean? Because I 18 thought Mr. Aymond was making a legitimate offer in good 19 i faith, and it was obvious that he greatly upset his lawyers. I 20 And so I remember asking our lawyers why were 21 his lawyers upset, and they gave me an explanation, which l ! frankly dcn't exactly reme.ber. And I asked semebody in 73 I the creur., either the lan_ ers, er Joe Te ele, er semebcdy 1 24 I vhc was dealine directle with Cens mer: ?cwer, to follcw.:p. I 25 ; O Co you recall any conclusions frem that felicw-up? I f i} (; ) ') 5::- 3rd:::! rSerc::eu,.0c:. b*

  • w NCRN C A PTTC b STit EET W A S MENGTC N. O.C.

20001 6202) 347-3700 1

21 i i 1 i A Well, the next thing I heard is that instead of i 2 le,tting us off scot free, I'd have to say, which is what i, 3 Mr. Aymond was i= ploying, there was a big amount of cash 4 involved. And I tcu'.ified to that in 1977. 5 0 Did you receive any conclusions from that follow 1 l 6 up in any kind of written communicacicn? 7 A You mei.n a conclusion frcm our people? 8 Q

Right, i

9 ' A Not that I can recall. i 10 O Did that suggestion frem Mr. Aymond that he i 11 would let Dow off the hook by 1984 lead you to push for l 12 any concessions or any other terms in the renegotiated 13 contract? 14 A No, because between the time he made this i 15 suggestion and the time they came back with what they -- '~~ 16 their interpretation about it, was videly different in i 17 ! my mind. 18 Q So the renegotiated centract now has a cutoff 19 date, is that correct? 20 A "' hat was considerably later. You're talking 21 about later when the con _ract was renegotiated? I'm sure i 22 i that it must have been brcught up when they -- again, I' l l ' awing conclusiens because I wasn't in en any cf these 2 negotia: Lens. i 25 j Q Okay. If you'll lock at c anscript page 2706 1 i s ,- r g c ::- :e c::1 =R::=:ca. sac n t.7 444 NCftm OAPTTOL STM E C W A S HI N GU N. 3.0 20001 t2cM 347 3700

22 i 1 I and 2707, you testified that the suggestion of a inusuit i 2 ^ by Consumers Power came before the corporate review, yet 3 after the time.when the Midland Division h.id recommended s i 4 abandoning the nuclear steam option. 5 Is that a correct su=ms y of what you were 6 saying there? 7 MR. CHARNOFF: Could I have that question read a back? 9 i MR. OuiS*EAD: Just let me repeat it. I 10 He testified on cross-examination that the 11 'i suggestion of the lawsuit by Consumers Power occurred 12 I at the September meeting which he attended, which, I take t 13 : l it, to be the September 24 meeting, which came before the [_ 14 corporate review,*yet after the time when the Midland i m. ,g Division had recommended abandoning the nuclear s Sam i 16 option. 17 THE WITNESS: As I testified here, it came 18 during this corporate review. It was during the time the 19 i task force was in operation. But it was certainly before I ~c ' we met to hear the results of the task force. 21 I BY MR. CRIS TrAD: l O Wi.s this the first time that you -- the i ~, i September 24 meeting the first time that yo were aware of suggestions of lawsuits by Censumers under the centract? = ~~ A Directly, yes, althcuch prcbably a couple of d::- 3ede=I =Rcc:ters, Sc.: 444 025 4.d.4 NORTH C A PTTO L. SM EIT W A S HI N GTO N. % 20001 (2011 347.J7tlr -

[ 23 1 days before I'd heard something from one of our people -- 2 ! again, I don't reme=ber who it was -- that there might i i I such a thing in the air. 3 l 4 ! Q When the corporate review position, the', was 5 presented to the members of the Dow board, do you recall 6 what your recommendations were with regard to the 7. conclusions reached by the review group? l 8 i A Well, *e task force made its review to the i 9 whole management co=mittee of Dow USA, which is ccmposed cf quite a few people. 10 l i 11 Then the Dow USA board retired into a separate 12 room to take the reco=mendations of the task force under advisement. And the recommendation of the task force, I 13 j O l A 14 l believe I testified two years ago, was that if the costs i 1 15 were, indeed, $1,670,000,000, with a startup date by i l 1s March of 1982, that the nuclear power alternative was still I 17 l the most satirfactory alternative for the M.ichigan Divisicn. i is ! Q Then it would be fair to conclude that the 19 basis of the decisicn was primarily econcmic? I

r A

No, I don't think you can make that single 21 conclusion, and if you review mv 77 testimony it was time and again asked whether the th eat of litigation was an 1 i i

l i.pc-ant censide ation or not, and I testified then -

I

l and I haven't introved in two vears -- that I ius: canne:

25 divorce the two things, becauSe I was given a bunch cf 4 m 1 A %7Cf* -.< D C [ C I C C U l U. f2f. p) Y[ A a 444 MCmW CA MTOI. STR E Z* I W a S MI N Q?C N. D.C. 2000f 3 i202) 3d7-3100

24 i 1 I data that said, here are the econcmics, and here's the 2 l threat of a S600 million litigation. And the decision was 3 ' made based on the whole cackace of information. t 4 i j I cannot conclude what I might have thought if 5 one of those things was not present. sl Q Was Mr. Wessel present. at that board meeting? 7 j A Not in the board where we made the conclusion. ~ 8 i At the presentation from the task force he might have been. i I don't remember. 10 Q Did you have a dis ssion with Mr. Wessel or i 11 Mr. Nute concerning how the Dow beard reached their i 12 ! decision? 13 A I don't remember. I just - it's two years, l n ^( 14 I just. if you tell ne I had one, you're probably 1 l 15 : right. But I just don't remember, 16 l Q Do, or did, the other members of the Dow USA 17 ! board generally follow your advice and recommendations on 18 ; such matters? 1s A Well, it wasn't just mine. It was a conclusion 20 of the group. It wasn't my decision. I didn't arrive at 2' this decision by a 51 percent vote. It was a decision cf ] the Icw USA beard. And in general I chink - I think it was a unanimcus decisien, if I rememcer ccrrectly. ~~ i 'd O Was anybcdy en the bea-d critical cf he review -e g cup 's conclusiens or the Mif r.d Divisien conclusions? 444 027 c"= ~i=== S= a m l w genm cae'Th sTn tr* W AS MIPe G1 3.0 2000% !202) 347-3700

I 25 1 A No, not that I can remember. 2 i o You testified during those hearings that Joe 3 Temple did not have a piece of data available to him that 4 f was available to you, and that was the threat of litigation. 5 i Do you recall that? A No. I uhink that's wrong. I den't think I 7 i testified to that. a I'll tell you what I think I did testify to. i 1 9 ! Joe Temple did not have a piece of data when he first made 10 his recommendation. He got his data one at a time. I got 11 those two pieces of data together to make a decision. 12 I think this is the difference, because if you 13 ! ask me can you make a decision purely on economic grounds, O I ,--Q without t?e threat of litigation, he could have because t 15 that was his first step. He didn't know about litigation t 19 at the time. l 17 But I didn't, because I got two pieces of data 18 together. IS Q To your knewle'ge had either veu er :t. Temple t a l '0 recuested legal advice frem Dew's attorneys concerning t i 21 Cow's respensibilities and obligations under the centract? l 1 22 A Well, that's what the legal review was all abcut. 22 ! The fact there was a task force for legal review, was whac l Cur chil. *aci ;ns Were 'O. der the cen' Tact, of CcOS'.0".GO s ' -c Cbligations. You have te gut it in cente.'C".. This is a '~ s c-- r a m g 02 i 444 c OA = ..._.m.=_ U402) 3474700 l

26 'l 1 plant that was originally supposed to be on stream i.n the I 2 mid seventies, and we were now already talking of 1982, 1 l and there had been continuous delays, some which we felt 3 may have been Consumers' faulu, some which were the fault 4 5 of the whole regulatory process and the intervenors, and 6 so forth. 7 But the fact was that we were trying to find cut 8 what all alternatives were and what the legal position was, i i I think that's a prudent businessman's attitude towards 9 ' 10 scmething. I 11 ' Q And weren't you advised that there was a risk i 12 of litigation for breach of contract if Dow attempted to 13 terminate its agreement with Consumers? f 14 A Well, we didn't intend to just up and terminate I 15 an agreement for no goed reason. So I don't think I ever I i 16 got any advice on that point, because that was not the l l attitude. We felt there might be cause for terminating it. 17 18 Q I show you a document that's captioned Intervenors 19 Exhibit Number 7. This is another memo to files from I 20 a Consumers person by the name of Mr. Keeley. l 21 MR. POT"ER: This is a memorandum dated March i l 4, 19 76 frem M:. Keeley to file, with copies to Youngdahl, 22 i 23 j Ecwell. 24 ! MR. CHAE';CFF : May I look cver your shoulder? I 733 W--',;ESS : Do you want me to read -he whcie 25 444 029 d= 3='c=! =*===' D* e44 NCRTW OA p f7C I,, m EET W A S HINGTC M. 3.C. 20001 (101) 3d7-3700

t 27 1 i thing? ? i 2 MR. OLMSTEAD: Yes, I would like you to read fs 3 over here to item -- through item g. 4 l (Witness reviewing document.) i 5 i BY MR. OLMSTEAD: 6 i Q This is a document which shows a meeting 7 between certain Consumers Power personnel and Dow personnel 8 regarding the Midland-Dow contract. 9 i In attendance at that meeting was Mr. Joe l 10 I Temple. i 11 Item g. on page 2 indicates there was talk about i 12 l the threat of litigation due to delays in Joe's letter has i 13 to be removed at the end of the negotiation. r-l 14 I In light of that knowledge of Mr. Temple's / participation in that meeting, and the reference there to 15 1 18 l the threat of litigation by Dow, do you think it's 17 reascnable to conclude that Mr. Temple hadn't considered I 18 threats of litigation between Consumers and Dow when he 19 reached the Midland Divisien position following the Court 20 of Appeals remand in July, 1976? i 21 A Well, you're asking me to conclude frem -- i 22 MR. PC C R: Excuse me. Before you answer, I'm 22 gcing to object. If I unders ,-d tha: me.orandum, it l i refers to seme alleged threat Of litigatien, but ne: b-1 c Consumers against Ocw, but maybe the 0-her way. 4 F f s a C**:** 7C*2C*:1 CK rC7

  • .1, f:C.

4 030 - - m i.x m W A S HI N GTC N, 2.0 20001 l202) 347 3700

28 i 1 l MR. OIE_ STEAD : Right, it's by Dow against 2 Consumers, in that particular memorandum, f 3 MR. PO'"TER : And is your question to Mr. Orc fice, though, is he correct in his earlier statement 4 l 5 that since Joe Temple didn't have Consumers' threat of 6 litigation against Dow before him at the time he made the 7 decision, still a correct decision? Is that what you asked 8 him? i 9 MR. OLMSTEAD: What I was asking him is, if it's in the mind of one of his executive officers of the Dow 10 11 Corporation to the point where he is considering litigation 12 against Consumers Power Cc=pany, and obviously I would 13 } assume seeking legal advice in regard to it, is it reasonable 14 to conclude, using a reasonable > man standard, I'm not i asking him to speak for Joe Temple - we'll ask Mr. Temple 15 i 16 j later - that he would not have considered the threat of 17 countersuit by Consu=crs Power Cc=pany. 18 l MR. POTTER: I'm going to, for the record, just 19 object, because really you're putting a reasonable-man 20 standard, but you're asking Mr. Oreffice to testify as to 21 whether Mr. Temple =ight have really censidered that. And I l = l th'at's the net effect of what you estion is, whether i 23 l ycu put it that way er not. And I Object, because Mr. 24 -l Oreffice certainly is not, and wculd be the fir t Oc say, an 25 exne_. on what goes en in M.r. Te=nle's mind. Scc. f f f; Q)} &::- 3rde :! 0::c::::1, 44.4 NCRTN CA Pir. L 5?#EET W ASHIN GF,N. 2.0 20001 (202J 347 3700

29 i I With that in the record, rather than taking any 2 l more time, go ahead. / 3 ! THI: WI:"ESS : Well, I think that if -- 4 BY MR. OLMSTFAD: 5 Q Let me put it this way: 6 Had you been in that meeting and made a threat i 7 of litigation to Consumers Power Company, would you, before 8 you had gone to such a meeting, have considered the 9 l threat of litigation against you, a countersuit by Consumers l l 10 - Power Company? l 11 l A Well, I think you're taking the whole thing 12 completely out of context. You're talking about a 13 litigation-- I don't know what they're talking about here. c You're =aking me read s'emething which might be a litigation 14 T 15I for $10 million. i 16 The question before, and what we were talking 1 17 about, is a very specific threat of $600 ::illion litigation 1 la by Censumers Power, which I had to contend with in making 19 a decisien, which Mr. Temple, to my cest knowledge, didn't 20 knew abcut at the time he made his original recc=mendation. I 21 I don ' t know if we ' re tal'<inc about -- what i we're talking abcut here. Cer ainly, if anybcdy knew anytnr.g re: ore those days that there was any-hing ine a a 3 i 24 560C million pessibility, I didn't knew any-hing ateur it. 25 And to my knculedge Mr. Te.7 1e di ^ '* know anything arcut Ox c5: - 3:d:-:l cR:rc::::1. -=cmemms,=m e 4 i O, T h W A S HINGTO N. 2.0. 20001 449 UJL <mo mmco

30 1 I it. 2 Q What is the amount of the liability of Cow under 3 the contract? Assuming the contract is reasonable performed, how much money is Dow Chemical Company talking about? 5 A That is a question that cannot be answered that i 6 l Way, because in the first place to the best of my knowledge 7 the amount of liability continues to change. It's been a 8 changing thing. What it was in 1976 is considerably 9 different from what it is in 1979. i 10 Q Well, I 1.nderstand that. But hcw - are you 11 talking ab,ut spending S10 million, or several hundred 12 mi. lion dollars, or - i 13 i A This plant started out where the whole plant -(- 14 was going to cost $250 millim. So you have to put 15 yourself - you know, it's very easy to look back today, 16 with all the vision we have in 1979, to figure out what 17 things might have been. But the fact is, this has been a i 18 l changing and moving thing. 19 Now, you shewed me a piece of paper. I don't 20 know what the hell it means. The delays in Joa's letter l 21 has to be. ." I don't even know what this means. 22 I den't know if they're talking abcut litigation 4 l cf tr.e whole contract, if they're talking abcut a little 22 i 24 i piece Of it. l 25 I knew that in cur mind, as I stated before, '. ee c=l = % cn ai, D== c ::. em m. x mm W AS MTNG9 N. 04. 20001 a [1(f (202J 347 3700

31 e i l we were trying to settle the contract - this letter also -- 1 2 since you have introduced it, I insist on giving you -- i .e 3 you made me read this - this letter also c'.early indicates i a desire to negotiate and not to litigate - clearly 4 i 5 indicates that this is what was being tried at the time. t Now, also there was a suggestion on a specific 6 i f point, which I don't know what it's about, of a litigation. 7 i. a, But the whole approach was to try to settle this in an 9 amicable fashien. And up to the time of this meeting on September 24, that's the way I had hoped things would go. 10 i 11 Q When did Dow originally expect to be drawing i 12 ! steam from the Midland nuclear plant? I i 13 A I believe the original date was 1976. I may l be off by a year or so. 14 l Q so would it be fair to say that Dow was not 15 i 16 happy about the delay? l l' A No, but there had been a new -- i I 18 : Q No, it wouldn't be fair to say that? 19 A Yes, it would be fair to say that. It would be 20 very "*i- *o say that we were very unhappy about all the i l 21 delays.

i Q

Since you-testi=cny in 1977 have ycu had an accasien te meet with P.r. Aymond of Consumers Pcwer en I 2" { this T.atter? 25 A No, I have net, i f 5:: ?:N::d S:rc :::4. $n# ,I end MCR*M O A Pf*C L, STMEg* W A S HINGTO N. O 0. 10001 (2C2) 347 2700

32 1 Q Have you - A Excuse me. You said since 1977? 2 l 3 ! Q Since your testimony. That was February, 1977. l A To make sure, when did Mr. Selby become chief 4 5 executive of Consumers Power? I believe that was shortly s' after that. At that time I did talk to Mr. Aymond -- I 7 think that's the only time -- on the telephonc. But I 8 talked to him at the time of the change in uneir management. 9 ' But I had no substantial discussion with him. i 10 ' O Have you had the occasion to discuss the Dow-11 Consumers contract wit?1 other Consumers Power of ficials since 12 ! that time? 13 A At the time Mr. Selby became chief executive -- I I / 14 again, I think it was shortly after that'-- we talked in 15 great generalities on the telephone. From everything I 16 unferstood from our people, he was known to be a reasonable l i man, and I talked to him over the phone to say, hey, can 17 18 l we get this contract settled to the satisfaction of both 19 parties? We both agreed that se would name our very best 20 people to a negotiating te'am, and really +27 to hammer out l l 21 a new agreement that was satisfactory to both pa_Mies. j i 22 And that's what happened. ~J O And that was early 1977? 24 A I would have to know when he became chief

5 executive.

I was verf shornly after. I don't know if it c-~: .7ece::].cNt: cit::.<, $nc. s - i n eed ** C R TM CAPtTh. STM EET W AS HI NGTO N. lll.C. 20001 (2C2) 3dh3700

1 33 i 1 early, late -- but it was sometime in that period of time. ~ 2 In fact, it could have been before the Chicago hearings, i 3 although I don't think so. 4 The one fact I remember is he had been chief 5 executive for a very short time. 6 O Did you have occasion to discuss with any i 7 I personnel involved in the Dow contract or in preparing 8 material for the Nuclear Regulatory proceedings regarding i 9 the Dow contract-the question of who would appear as 10 I witnesses on behalf of Dow Chemical Company. i 11 ! A You're u lkine about in 1976? I 12 Q Right, for these hearings. i l 13 i A Discuss it with Dow people? f 4 i Q Right, as to who the Dow people should be to l 15 i testify in the Nuclear Regulatory Cocnission hearings. i 16 l A Well, I testified in 1977, I think, to that i 17 ', effect. Yes, I did have some meetings with them. 18 MR. CHARNOFF: Excuse me. With Dow people? l 19 TEE WITNESS: Yes. 20 MR. CHA?JTOFF : Not with Cons =ers people? I, 21 m3r ;c NESS: With both. We11, no, I didn't have 22 l any aeetings with the Consumers people, althcugh I think. I 22 I I testified in 1977 shcut seme suggestions which were uade i i during the meeting of Sept e er 24 by Censumers pecple.

s l 444 036 a= w =%=~ = Dx and NCRTH CA PtTO L ST1t E ET W A S HI N GTO N. 3.0.

20001 (202) 347-37CC

8 34 I l 1 i BY MR. OLMSTEAD: 1 2 Q You testified, I believe, that you got an 1 3 impression that Consumers wanted an unknowledgeable witness? i 4 A That is correct. MR. CHARNOFF: Could I have that read back, 5 6 please? 7 (Whereupon, the reporter ::ead from the record, 8 as requested.) I 9 BY MR. OLMSTEAD: ~ 10 Q How did you obtain that impression? 11 ! A Well, I don't remember, obviously, that these i 12 ', were the exact words used. But I think there was a statement i 13 that the best witness to go for Dow might be somebody who 14 wasn't really that familiar with the whole thing. And I i 15 remember getting very upset about it. I i 16 Subsequent to that I had discussions with our 17 ! people, and I think you could probably say that I raised 18 some hell with our people to make sure that we sent the 19 =ost knowledgeable witness, which I thought was Mr. Temple, 20 because inasmuch as I'm concerned any time we are testifying i 21 to scmething, we want tc send the mest kncwledgeable witness.! a

2 So I wonder why I'm testifying.

I'm not the 1 most knowledgeable witness in this whole area. (Laughter.) 25 Q You were present when cemecne frc= Censumers c r:2.Te.:c.d =Rercuci,.On: s -i 2 44 037 _ _,_.a.., w a s MIN CTO N. D.C. 2000t i 12C22 347.J700 l

35 lI 1 r s.i.?ing Consumers Power expressed that desire? _swer at r. 1 2 7. Yes, I was. That was September 24 at the i 3 h meet 2g. 4 Q Did you check this out with any other Consumers 5 Power people, or follow up or it in any way, to see if that 6 was -- 7 A I personally did not. 8 Q Oka?. I 9 At page 2726 you testified that if the Consumers-i 10 ~ Dow contract did not come into being, that there was 11 uncertainty concerning whether Dow would continue to l operate units in Midland because of the competitive 12 '3 advantage that Dow might have in other areas of the 14 country, such as Louisiana or Texas. i \\s_- I 15 Has there been any intervening circumstance 18 which would change that testimony? i 17 ' A No. As a matter of fact, there have been maybe 18 circumstances to prove that point, because we have had a 19 continuing debate, as I'm sure you are awr.re, with State and 20 Federal air authorities, on whethcr we can continue to l 21 burn coal under our system. And we have stated verv l cle arly that if we don't get scme relief in July of this 22 22 year when the new amendments af the Clean Air Act go into 24 effect, we will be laying off scrething like 200 to 1000 l 25 v4and. people and shu :ing scme uni?.s .- r e c- ::.7e.:c-c[ S c c:* :t. J:::. 444 08 eed NCRTM OA P'TOL 57 EZT W A s pet M GTO N. 3.1 20001 t i2C2J 347-3700

36 \\ At the time the corporate review team determined l Q i l that Dow should continue to support Consumers on the 2 3 contract were you or any members of the Dow management, to your knowledge, anticipating that the revised contract nee otiations which were then ongoing would alleviate the 5 i problem that you testified you saw in the contract which 6 was a lack of a fixed te mination date? 7 1 A We definitely expected negotiations to improve + 8 several points in the contract which, under the circum-9 i i 10 stances of starting in 1982, and the current costs and so i 1 11 ! forth, were unbearable on the contract. l 12 - At the same time, Consumers Power wanted some t f j things on their side. And so we felt, yes, that there 13 l were severv points that could be negotiated. 14 l x 15 l Q so you reasonably expected that you would get 16 a termination date? i, 17 l A Yes, I would say that I -- well, you asked me i 13 when, when did I reasonably -- 19 Q Well, that's the next cuestion, when? after.ir. Aymond made the 20 A I certainly did, i i 2' statement he did in our =eeting. ( 22 Q Which was the same meeting when they made One 23 i threat? i 24 A Yes. 25 And you testified that it was he fixed ta =ina-tion date that was,Off.erad,byJir. Aymc,nd that was mcre c't: ~ :c:.' M:rc::as,1,/ce, add NCm?w OAP!TOL snge W A SHING*O N. :: C. 20001 /

37 i 1 I important, to your mind? i 2 A Well, Mr. Aymond made a very clear statement, i 3 ! and what I felt was a very honest statement, that he l I cons dered -- my interpretation of his statement, if I may, 4 5 although I don't remember the exact words, is that he was 6 saying it would be unreasonable to keep you tit J a i 7 contract if the plant were to not be started forever, i 1 8 ' essentially, and you have a deadline, and that's 1984, and 9 I consider it reasonable to let you out by a certain date. l 10 l And I must say, we keep saying 1984, and I i 11 ' don't remember if it was January 1 or December 31, 1984, at 12 this time. But it was -- and you know, I felt t'iat that was 13 an honest statement that he made on his belief. And, as / 14 l I say, his lawyer jumped up and said you can't do that. \\_ 15 And I had to ask why of our people later. 16 Q Okay. Now, that was an impcrtant piece of data 17 to you - 18 A~ Ch, yes. 19 Q -- the fact that the Chairman of Consumers would 20 see that as a reasonable te ination date. i i 21 A Yes. l 22 Q So in 11ght of that, and in light of the threat i 23 ; of litigation as you ca.e away from tha meeting, was you:- 24 general belief that you had improved matters, natters had

5 remained unchanged, or matters --

e, C'*:2* IZ2 C 2 Z:MT "1, lOC. 444 040 - ~ ".0. W A S HI N GTO N. 3 20001 (202) 3474700 1

38 1 A

  • lou mean right after the September 24 meeting?

~' 2 1 Q Right. 3 A Ch, mixed emotions. But a definite feeling of 4 improvement on the termination date, and some feeling that 5 the differences could be negotiated. 7 d say -r well, I'd say mixed emotions. 6 7 Did Consumers make any other sug;estions concern-Q 8 ing revising the contract that Dow found to be to its l 9 advantage? In 1 bout that time frame. I don't want to go -- 'O I don't remember the specifics of that meeting. A Later en -- we had made several suggestions of the things } 12 which would alleviate our position, and they were being r '3 negotiated and discussed. i Q Did you view the suggestion on -he termination ~ 15 date M.r. Aymond made at that meeting to be a gesture to l gain Dow's support in the Nuclear Regulatory Commission '6 '7 proceeding? 's A I don't believe so. I really interpreted it as '9 an henest expr.ession of a man using a reasonable approach. l l 1 23 It sounded so reasonable to me that that's why I 'dered I t it just a reasonable businessman making a point. f 2 During the course of this time, leading up :: ~l 1 23 l the prepara:icn of ycur testimeny~, and al-4 ately your 24 cestimeny in 1977, did ycur atecrneys advise you cf the I need to :<eep the Nuclear Regula: cry Cr= mission advised of -e f j} ;*; Q t} } c-?:: 3e:'c-:! 0::w:~.1, 0:c. w NCstTM 0A 71TC 6 STDCE* W AsiglN GTC N. O 20C01 (2C2' 147 3700

39 I I ! changes in your testimony or the Dow position? + 2 ! A During what time? i 3 ' During the period of time from the September 24 Q meeting through your testimony in February of 1977. 4 MR. CPJu'UTOFF : Did his attorneys advise him of 5 6 what? t 7 MR. OR1 STEAD: The need to keep the Nuclear 8 Regulatory Concission advised of changes in your testimony ? I 9 ' or in the Dow position. 10 ! THE WITNESS: In my testimony? I had given no 11, testimony, as I recall. 12 BY MR. OLMSTEAD: l 13 Q While you were preparing it. r l 14 MR. POMER:- How could he change anything that i i 15 still hadn't been given? That aspect of the question I 16 certainly must be clear. He had no duty to alter testimony I 17 l that hadn't been given. 18 BY MR. OU1 STEAD: Q Were you ever given any advice concerning the 19 I 20 need of the Corporation, Dow Chemical Company, to keep the 21 Suelear Regulatory Ccmmission informed of changes in its

l positicn?

A Well, I knew there were hearings going cn, and 3 t 24 l that an r ciece of racer in -his ccmean cast, presen: Or 25 future, had to go to the hearings. Sc : assume that means I p ir l n -- r i C ::= J 2 Cal C rirM*.%', Jf C. 444 N C et W O A P'TC 6 STit E ET W A SHINGM M. 0.0 20001 L202) 3d 7-3700

40 t keeping them advised. 1 f 2 o Since the tine of your testimony, once prepared, 3 have you provided to Dow attorneys, Consumers attorneys, i l or other personnel for either company, materials indicating 4 i 5 any change in your position? 6 A None. t 7 0 Did anyone ever suggest to you that the NnC should not be provided with informatien concerning Dow's ongoing 8 t 9 review of the Midland Division recoc=endation? 10l A No, sir. As a matter of fact, I was advised of i i I 11 exactly the opposite, that anything we said and anything-l 12 we wrote should be provided. l* i 13 : 0 You were advised of that? r t 14 A I was advised that anything we wrote would go G' l 15 l to the NRC. 16 MR. OLMSTEAD: That's all the questions I have. 17 MR. CHARNOFF: Could we go off the record. 18 (Discussion off the record.) 19 CRCS S-E:GL'4INATION 20 SY MR. CHARNOFF: 21 0 Mr. Oreffice, I think we've established that du-ing the time frame of September, 1976 you attended only l the meeting of September 24, 1976 with Consumers Pcwer i 24 Cccpany present? 25 A That is cer ect, b b li 00 &::3ede=t =%e=cu. Dx and NCMTM O A pfTO L STmtg? WA$MiNGMM. O.4 20001 (202) 347 3700

j l 0 You did not attend the September 21 meeting with 1 Consumers Power Company? 2 1 A I don't believe so, 3 t t 4 Q Nor did you attend any other meetings with i Consumers Power Company during September and October of 5 i i 6 1976? 7 l A That is correct. Did you take any notes of the Septerter 24, li76 8 Q 9 meeting? 10. A I don't remerter now. If I did, they were turned i 11 ; over to our attorneys and to the hearing. So you would have I 12 them if I did. i l 13 i Q We don't have any that I'm aware of, p ,a 14 i A Then I must not have. / ./ 15 Q Okay. I 16 What, sir, was the purpose of that Septerber 24 i I 17 ' meeting with Consumers Power? 18 A It was - we had been having these negotiations 19 for cuite some time, no conclusions were being reached, and ! l 20 essentially it was to sit down and talk over the whole l 1 21 thing. 22 Q Was it in the centext of trying to resclve the l negotiations, or was it in the centext of trfing te

l understand -- was it in the centext of that task force's 15 assi n=ent; namely, to review Mr. Temple's er the Ocw i

i f l l[ tj Qff &:e-3e:'e::( cRepc::::1. Or:c e44 NORTH D PM L. S?14EE' W A S HI N GTC N. 3.0. 20001 ? (302) 347.3700

42 q! I Michigan's recommendations? 2 l A Ch, yes. Yes. 3 Q Do you know whether the meeting was called at the i 4 initiative of Consumers Power Company, or at the initiative 5 of Dow Chemical? 6 A I don't remember. 7 Q Was one of the purposes to get some Consumers 8 i Power Company input into the then ongoing Dow USA review 9 ! of Mr. Temple's and the Dow Michigan's recommendations? 10 A Well, obviously part of it was to find out what 11 their position wa., t 12 Q Their position with respect to what, sir? I i 13 A In general, on the whole situation of the l c (N-14 l contract. We'd been trying to renegotiate it for some time. l Q Anything else? 15 i 16 A Just on the whole nuclear power situation. 17 Uncertainty is the worst thing you can have, and we were 18 trying to determine just what the position was. 19 Q Just to refresh your recollection -- 20 MR. CHARNOFF: Bill Potter, do you have a copy i, 21 of Mr. Nute's notes of that meeting, September 24, 197e? 22 MR. PCTTCE: Yes. 1 MR. CHARNOFF: Could you shcw to Mr. Creffice 1 l j just a hrief paragraph which might refresh his recollection 24 25 as to what he had said at the opening of inc meeting? f f t\\ 04 cA::- 3:dera[ Repcet:u. Sc 4.44 N C ft 714 CAP WL. 5T1% E E* W A S HINGTO N. O.3 20001 1202) 1474 700 t

43 6 i i 1 (Document handed to the witness.) 2 MR. POTTER: Where do you want him to look? MR. CHARNOFF: Particularly under Roman II, 3 i i 4 ; where there is a caption of Mr. Oreffice's name, and one 5 single paragraph. 6 MR. POTTER: The record should reflect I have 1 7 tendered to the witness a copy of the 9-24-76 notes. f 51R. CHAPl10FF: That's marked as Midland Exhibit-- 8 + i 9 Intervenors Exhibit 27. t 10 .HE WITNESS: All right. l I 11 BY MR. CHAFliOFF: 12 Q Now, does that refresh your recollection that the l 13 l purpose of the meeting was to get some input, including I r eL 14 l Consumers Power Company input, in connection with the i ~ 15 review of the Michigan Division's recommendations and 16 positions? i 17 l A Yes. But I don't see where it says anything 18 different fron what I just told you. It says we need all 19 the input on the question of where we're going to get out 20 steam and power and different points in time, which means l

1 to me to do the whole thing, and the input into the Division
l review, yes.

4 i

3 l C

Okay. i 4 Jow, yce had assicned, with :1. Temple's

5 reccc=endation,

.- r p c :1 7 :c::1 cKerc :: 1, .icc, 4ht 046 -ce-- wasmnato. o.:. oooi 2C2) 347 3?co

44 i 1 ! MR. POTTER: Excuse me. Are you finished with 2 ! the reference now? l 3 MR. CHARNOFF: Yes. MR. POTTER: Okay. I think he's not certain of 4 that. He's reading the notes while you're asKing questions, 5 I 6 and I just want to make certain. i 7 MR. CHARNOFF: Yes. l 8 ' BY MR. CHARNOFF: 1 Q Well, briefly, that paragraph that summarizes 9 to, your opening statement, is essentially consistent with your recollection of what you were looking for in that 11 t 12 meeting? I [ 13 ' A Right. l r, t Q Now, if I could have you refer to -- if you n '4 %../ l have a copy, and if not I'll show you a ecpy of Mr. Temple's 15 16 letter to you, of September 8, 1976 and September 15, 1976, i 17 Board Exhibits 1 and 2. '8 Do you have a copy of those? ) 19 (Docu=ents handed to the witness.) I 20 Have you seen these dccuments? 2i MR. PCMER: 9 '5 is the date en the other one? 22 MR. CHA?2iCFF : That is correct.

3
  • EE WIniESS:

What was ycur question? I SY "R. CIA?2iCFF : 24 ' 25 C Have ycu seen chese dccuments befcre? A44 047 css. wc=t 4x=. s-44d NCRW CA PTT O L SM E E* W A S MtM4TC N. 3.0. 20001 (202) 347 3700

l 45 I 1 A I have in front of me September 8. I saw that l l ene. As a matter of fact, that's what started the whole 2 i 3 review process, when Joe Temple brought this letter over. 4 He didn' t send it, he brought it in person. 5 (Document handed to the witness.) 6 ; And the September 15, in which he recommends 7 the ite=S for the corporate review, yes. I remenber seeing 8 that. 9 O And did you adopt, where he lists proposed items 10 for the Dow corporate review of the nuclear steam project, 11 and he lists seven items, did you adopt those seven items i 12 i and ask the corporate review group to look at those seven l l' 13 items? I f' l A I believe ve adopted.them exactly as recommended. C 14 15, I am -- I can't be 100 percent;sure that we didn't make 16 some minor changes to it, but I believe we adopted them as 17 written. i 18 ; Q Okay. 19 In examining item number 2, which is the review 1 i 20 of the legal aspects of past, present and future outicok, l 21 which I take it Mr. Temple was recc= mending be assigned to i 22 l M. Hanes, what did you have in mind in asking fer Mr. l Hanes to examine the future cutlook of the legal aspects? 22 24 A Well, ebviously when you have a major centract we Just wanted to knew what al the aspects were. Had i 1 - t l 1 9,' n ', ' c-t::. '.;:dez: : rm: 1, cc. L n t I e 44.4 *sCRTH O A PtTO L STR EC w a s MIN GTO N. l*,,0. 20CQ1 (2C2J 347.JM

46 1 ' Consumers breached the contract, what had they done, what 2 could we do, did we have seme outs, didn't we, to make a 3 decision. i 4 That's a very important part of the input. l 5 i Q And was one of these subsidiary cuestions that 6 if you terminated the contract you might be liable for 7 damages? i 8 A Certainly would be in my mind, although I don't 9 know if it came up specifically, yes. 10 Q But I think you used a term in talking to Mr. I 11 Olmstead earlier today, you were talking about the prudent i 12 l businessman would want to know the legal situation. So, i 13 + l among other things, acting as a prudent businessman, among i 14 I T' other things you would want to know is whether or not if 15 the contract were terminated or frustrated, whether Dew i 16 l might have some liability? i i 17 A obviously, I think you'd want to know can we 18 terminate it. because we have just cause, or don't we have, 19 or if we don't or if we do, what might be the legal 20 consequences. Yes. 2' Q So in that centext, you might want to knew 22 l vhether ycu'd be the subject of a pctential lawsuit, perhaps,by the Other party? A Chan's your conclusien. That's reasonable. -- I 0 It is reascnable, and a pruden: businessman would n r o c~~::.*::c~ 1 :.S::c~::~1, 2 :. menm :wri tr=cr-p g .u O 't

  • ^8 km am 2- ~-- 2 coot 1202) 347-J70C i

47 1 want to know that, is that right? 2 A I think that's a reasonable assumption. 3 MR. P C T'" E R : Are we through with this exhibit 4 now? 5 MR. CHAFlIOFF : I think so. 6 BY MR. CHARNOFF: 7 Q In fact, Mr. Oreffice, Dew is often the subject a of -- even though you say it's not a litigious cerporation, 9 Ccw is often the subject of some litigation. Any ::w.jor to c w oratien is, isn't it? 11 A Especially in today's society. You lawyers have 12 to make a living. 13 Q There might even be seme legitimate reasons for 'r i f"- 14 the lawsuits. ~ is A Sometimes. 16 Q Isn't that right? 17 A Somet.5eS. la Q And scretimes I assume that your lawyers bring is litigation at the direction of the management rather than 1 20 of their own instigation, isn't that correct? i l i 21 A Ch, I'm sure, althcugh I don't knew of any l 1 liticaticn of the size cf this ene.. n Q So it's the si:e of -he litigati:n that was

4 really of great imnrassien Oc ycu in this particular
s instance, is that right?

444 0.50 "" 3'='". _=I="'=*=' "" , m,,. m WASHIMC M N. 3.0 20041

202J 347-3 ?co

48 1 A When Consumers, on Cegtember 24, brought it up, 2 yes, sir. S600 million captures =y attention. 3 Q That's a lot of money. 4 A Even = ore back then in '76. 5 0 It's worth somewhat less today, isn't it. 6 A Yes. 7 Q New, in the context of today's society where 8 lawyers like to do whatever it is they like to do, I take 9 it it is custcmary for managers of enterprises to take 10 such active litigatien or f act of potential litigation. into 11 account in making prudent business judg=ents, isn't that 12 correct? 13 A It doesn't happen very often but, yes. /~ (s '~'. i 14 Q But where it exists, that is, where you are told tt that there is potential litigation or where you suspect 16 there is potential litigation, as a prudent businessman 17 you would like to kncw about that, wouldn't you? 18 A Correct. 19 Q And then you would factor that into ycur prudent l l 2a business decisien making? l 1 21 A Yes. 1 Q Ccw, I take it, has often entered into a number cf centracts which appear - well, I shculdn't say eften --

4 but Scw has entered into centracts which secetimes appear
5 to te less f averable after their inceptica than at the time

+ (* / e a g w'~*:

  • w CCal CNCCTtC1, s l'.

[ 444 4 C 8tTW CA #'TO L STREET

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20001 (202) 3dh37CC

49 I the centracts were entered into, isn't that right? 2 A That is correct. Less favorable on either side, w 3 Q Cn either side. And I assume that in evaluating 4 the nature of, or in evaluating the desirability of whether 5 continuing that contractual activity, one of the questions 6 is the extent to whicb you are legally obligated to carry 7 out that contract, isn't that 8 A My first approach has always been to sit dcwn 9 with the other partf and try to negotiate something that "3 is = ore equitable for both, despite the fact if it is more 11 unreasonable to us later than before, our approach is to i 12 sit down, and lay on the table why we think this contract 13 is to (f.erous for us and try to get a friendly settlement 0 r s_) 14 of scme type. \\. 15 0 And that's probably the reasonable and almost 16 standard practice for large enterprises. 17 A And that'J how I think 99 percent of these things 18 are solved. M3 Q All right. But ene of the elements of resolving 20 those is the awareness that there is scme litigatien 21 potential if reascnable people don't reach an tmicable 23 ! agreement, isn't that it? i I 23 A Well, ycu can't make a generali:aticn like that, j i l because in cost every case I knew cf -- cne was relief, fer 24 25 instance, en our pricing when the oil price increase ed 444 052

===== > =*==== L7

i n 6.a.a N C arTN uptTO L. STw m W A S HIM 4 7C N. 3.C. 2OCC1 42C2J 347 3700

50 1 '74 and we had seme escalations which were no lenger satis-2 factory. Our approach was always to try to get some relief, 3 but if there was no relief and no breach at all of the 4 other party, we'd live up to our contracts. And I think one of the main considerations -- 6 everybody keeps asking me ahout the breaking of this co.. ract. 7 We felt there was gced cause -- at least, I knew in my mind 8 the thing that I asked the lawyer is do we have goed cause 8 for demand.ing, if you will, an amendment to this contract. 10 We were looking more for an amendment of the 11 contract, in my mind. 12 O The thing that was impressive, then, at the '3 September 24 =eeting when Mz. Aymond mentioned the potential 14 of, litigation was really the amount of exposure that might 15 be involved? 16 A Well, plus the fact that we had -- up until that 7 day I had really felt that we could get the centract 18 amended, that we could find the way, because there were '9 sete things we needed, sc=c chings they needed. And I 1 20 felt at that meeting we were being told veu're c.oine. te be 1 21 sued fer $500 millien, and sert of take it or leave it. That's a big change. l i O Oid he do that in the centex: thac thac wculd t 24 he Censu=ers Only reccurse if, in fact, Ocw either c l repudiated or frustrated the centract? c :: ?c:e ci =Kercn:n, $cc .9 O-l 444

  • e c eW OA P*TO t.

ST1e EI? W A S MI N GTC N. O.* 20001 I2C2) 347-J7CC

al 'I l I A No, I think it was done in the centext that we I tried to negotiate sc=e contract changes, we were getting 3 newhere, and if you don't live up to the contract, he said, 4 we're going to sue you for S600 =illion. 5 That's the kind of thing I felt 0 0 I think you testified -- I think Mr. Olmstead 7 referred to 2692 -- that there were no threats, if I a reme=ber, by Censc=ers Power Cc=pany with regard to losses U prior to September, 1976, is that correct? 10 A To =y kncwledge there were none. Yes. There Il =ight have been, but not to my knowledge. 12 Q Do you know whether prior to September 1976 '3 Dew or any of its elements, like Dew Michigan, had ever i told Cons =ers Power Cc=pany that it was recc==ending to ~. 15 the parent bcdy that it review the contract to determine 16 whether or not it was continuing to be in the interest of 17 Dcw Chemical to carry it out? 18 A I knew they were talking with Const=ers abcut 19 making substantial changes in the centract. O Your questien is, did they te._ Censumers they were asking for a corporate review? 22 0 Yes, that's right. I 1. Not te :.r kncwledc.e. 1 2* C So it had never a=ctnced cc tha: level cf c ccccern, is that right? ~ c-r n g, c:.*eres::/ =Kecci::~1, cc. Ih w ** C R 'M CAP L $*REZ? WA$MIPEG M M. 0.0 2000t (102J 347 3700

-o.,. l i 1 A There was cencern, but, no, that's right. There 2 was an escalation of concern after a lanc. c.eriod of time 3 with the negotiatiens not gcing in the right direction. Q Yes, I'm not icoking to you to finger ceint it, 3 but as I understand it, there was a meeting on Septerter 13 6 between Daw and Censumers Pcwer Cc=pany where Dew people 7 told Censumers that there was the Ocw Michigan rece==endation and a decisien by the beard to carry out that recc==endation, 8 9 that is to have a corporate.re'riew of the contract. And to that is an escalation of concern, perhaps a logical one, 11 but nonetheless an escalation of concern, isn't that right? 12 A I would agree with that, yes. 13 Q And it was only after that event occurred that 14 there was a threat or statement of litigation by Consumers ~- 15 with the potential of $600 million of damages being raised, 16 is that right? 17 A That is correct, to my kncwledge, yes. 18 Q New, t"ere was sc=e reference in your discussion 19 with Mr. Olmstead of Ocw's considering suing Censu=ers Pcwer i 20 Cc=pany. 21 Reccgni:ing what you said be#~=

  • cut your 22 general disecsition in trying cc rescive these matters, 23
cen_ cverted matters, whenever you ceuld, when de jeu recall l this censideraticn by Ocw cf the feasibilicy er desirabilicy 24 i
S cr undesirability of suing Censumers Pcwer Cc=pany?

Did it r m c-=.

=c= c := n cs. s c 444 99s odd asc A Tid 1A p fTO 4. STWEET lj y

W A S Mt MGTC N. O.C 200C1 (202) 347.J700

53 i l 1 follow the statement by Consumers Pcver company en Septe:-ber: 2 21 or 24 that it might sue, or did it precede that period 3 in ti.r.e? 4 A To the best ou my recollection, it follcwed it. 5 0 I see, s A At least in my part of the discussions. But 7 let me tell you, at the same time, as we started the S review, as we started the legal proceedings, it's possible 1 that when we said legal proceedings the subject also came 10 up, lo we have any -- you k Ow, I think it's one of the 11 thintys that we asked them to 1cok at, do we have any legal 1: recourse? So it's possible that I heard something, but 13 ( ' 14 I don't believe so. I bulieve it was after. V 15 Q But it ws's possibly in.ask force item number 16 2, as eccething to be looked at. A Well, they were to icok at the whole legal 18 implications. i 19 Q Now, Mr. Hanes testified this torning on i

o depositien that folleving his meeting on September 21 with sece Censumers lawyers where a discussien ca -a
p about Mr. Temele being a witness, and whe-her there cught :

be 1 j a witness presented by Ocw whc was unaware cf Mr. le= '.e's

2 1
4 }

pcsitien, and that he teck the pcsi.icn that Ocw would have

s to put fe: sa-d a fully kncwledgeable witness, kncwledgeable 444 0 5 6 da-5='==i =s==,,=,m &=

! ;,o g ~ ~... .... cm. m _, i ap j.. i2em m.2-ee

54 i of Mr. Temple's position, and so on, and he said he then t met with you prior to the meeting on September 24. 2 3 Do you recall that? A If Mr. Hanes said he met with me, he's probably 4 5 I know in those days I met with him, scmetimes with right. Mr. Nute or Mr. Temple, to get a briefing on what was going 6 And that possibly is where I first heard of this. 7 on. 8 It could have been September 24 when I first 9 i heard about it. Q How many times did you hear about it? 'O 11 A I don't know. { Q. Mr. Hanes testified that you took the position 12 consistent with his, that Dow ought to put forth the most 13 _ (" l' / knowledgeable person, sss 15 A A very violent position. 16 Q As a matter of fact, you said earlier today you '7 raised hell with your people? 18 A Yer. ~ 'O Q Was that -- l 20 A It could have been at Mr. Hanes' meeting. I 21 thought, frankly, it was after the 24th. But it could have 22 been the 22nd. 1 1 2 Why would you have raisec all wich your people? 22 i i Was there scme possibility thac some of your people were 24 -c ~~ sugges ng unat ="ta ':de::( :Secit:- Tcc. - i 4 444 MC 8t *M CA PtTC L STME W AJ MI N GTC N. 3.0 20001 202J 347 4700

55 1 A No, they weren't suggesting that. Well, when I 2 raised hell I became, I remember, very excited about any-( 3 body making a suggestion that Dow should not put its most 4 kncwledgeable witness up. 5 Q Okay. Whether it be Consumers people saying that 6 ! or your own people saying that. 7 A Well, my own people were obviously just a conduit., 8 But you always Echead the messenger. And I think when I 9 say raised hell, I was really beheading the messenger by la saying to hell with it, I took a very streng stand, that it ue will at any hearing put the most knowledgeable witness 12 on, whatever the subject. 13 Q Did Mr. Hanes tell you that at a meeting on t PN 14 September 21 that scme of the Dow people at that meeting v) 15 had at least scme reservation about putting Mr. Temple on, 16 because of the prior statements he had made, or prior 17 public positions he had taken? 18 A I don't remember that, as of new, if he did say 19 scmething like.that. 29 Q If they had told you that, would that have i i 21 caused you to raise hell with them? l 3

i A

I'd raise a little =cre hell, yes. l 0 I see. Sc there's levels cf hell that ycu ra se? I 24 ! All right. t

5 Ncw, Mr. Eanes also testified -lat it :. 3 nc:

444 058 c = m =, t + = c es = n a a N.

  1. A S MIN GTC N. 3.C 1CCC1
(1 (202) 347-J700

56 his recollection that the question of a Dew witness, 2 knowledgeable or otherwise, was raised at all at the I 3 Septed er 24 meeting. So new I would like to ask you to I focus as hard as you can -- and I reccgnize we're a couple 4 5 of years away frem your testi=cny, which was then months 6 away, is it at all possible that your recollection of that 7 issue came up only in a meeting with Mr. Hanes, Mr. Nute 8 or semebcdy else, or that it necessarily came up in the 9 September 24 meeting? i 10 ' A In February of 1977 I seemed to have a very l 11 clear recollection that it came up at the 24 September 12 meeting, and I have had nothing since to change my mind. i 13 Q Allright. So your statement here this morning I / 14 that it came up on the 24th meeting with Consumers is really based upon your re-reading your testimony of 15 16 February 1977. 17 A There is no new recollection. 18 0 Okay. 19 Now, let's go back -- and I recognize that I 20 difficulty, it really is -- your testimeny which appears l. 21 on page 2703 of the t anscript talks alcut a suggestien - I' : icching at the bettes parag aph cf that page, sir, i 20 lines 13 and 19, where ycu said that if there was ne l 24 statement that there cught te he a fabriested pcsition,

5 but the suggestion was made we shculd supply maybe a wi ness c~*:
  • : -:t S.ercit:~1, Sc s

4 4 Oqg m =em ameu sncz? ... _ _. m_ ' 2c2) 3.47 3703

57 { who wasn't the most knowledgeable witness that Cow had, I ...a suggestion which led me to doing the review, led me 2 ( to question this, because I said as much as I'm cencerned 3 Joe *emple is the most knowledgeable man that we have on 4 5 the subject." S Now, I recognize that even February, 1977, while 7 it's pretty far back from now, it was also roughly six 8 months after the September meeting that you had with Mr. 9 Hanes and your people had with Consumers Power. 10 Are you absolutely certain that in fact that suggestica was made at the September 24 meeting, or rather 11 1 12 ' what you were recollecting was your discussion with Mr. 13 Hanes orier to the meeting? r. 14 A You're asking me if I'm absolutely certain in 15 May of 1979. I was pretty damned certain in February of 16 1977, yes. 17 Q Well, who made the suggestion at the September 18 24 meeting? 1 19 A I do not remerier. Ic C You weren't asked that in February, 1977, but 21 Jince you were given to a -- what ycu might say a vicient er ar =' ~ s raising hell type reacticn to thac k.ind of an

2 i issue, let me t:f to put you back into ycur frame of i

24 reference in Sepcerier. 25 Can you picture Mr. Aynend discussing who the c: .; re:i %:c-:cs, $cc n m - *cn. C2,,rCc srwerT W A S HIN(1TC N. C.C. 20001 444 060

58 'l witness ought to be? Would that have been in his province 1 2 ! or his area of discussion? I / 3 A Possibly. But I just .I just don't 4 remember as of now. 5 Q You can't remember who mignt have made that 6 suggestion? 7 A It's very possible Mr. Aymond might have. 8 Q Is it possible that Mr. -- who else was at that 9 meeting? Is it possible that it might have been another 10 person at that meeting? 11 A Mr. Ay=ond took the lead, as I recall, from the 12 group. Who was their lawyer? He did seme talking. 13 Q There was a Bacon and a Falahee there, n. ,A 14 A I think Falahee - either Bacon or Falahee did 1 15 quite a bit - a fair amount of talking, as I remember. 16 Q Could I ask you to refer again, then, to Exhibit 17 27, which were Mr. Nute's notes of the September 24 meeting? 18 (Document handed to the witness. ) 19 A Yes. 20 Q ' lave you seen these notes before today, sir? I 21 A I believe I must have seen them at the time they ^2 were w-itren then, in '76. I believe so. I can't be 23 ! entirely sure. I i

t C

Io you recall any recollection that -hese actes

5 were reascnahly cc==rehensive and captu ed the significant r

c::- :erc:1.:Rerc :cs, Lac. l .,e n/ = acam =um starry 444 U$ ;g mee.r= ~. :.c. 2cooi 1202) 347 3700

59 l points made at the meeting? 1 2 A No, I frankly don't remember it. / 3 O Do you recall any reaction that it lacked or i I 4 l omitted any significant points of the meeting? 5 A Maybe I ought to make sure you understand. I i I 6 probably didn't read these notes very carefully. I had i 7 in my Job a mountain of papers. In fact, I spent all my i 8 time -- l i 9 ! Q I'm sure you did. 10 l A That was about the time I issued an instruction I 11 that I didn't read anything over two pages long, which i 12 ' still exists in the Company, unless somebody asked me 13 please. i 14 ! Unless Mr. Nute asked me please to read it s I 15 carefully, four pages, I probably didn't. read it that 16 carefully. i 17 0 Was your directive to limit everybody to two 18 pages, was that after Mr. Nute gave you a 4-page document? 19 A No, no, that was after I kept getting 50 and 20 60 page reports. I l 21 Q I sec. t De vou recall whether Mr. Nute asked you c 22 i i l

i read all fcu pages?

24 l A I don't remenier his doing so, nc. Which i 25 ! dcesn't mean he didn't do it. I just don't reme-S er.

  • ere.:{.:Rerc-::.1, $cc F f 4

.m 4.44 4C Rm OArt*Ca. STR EE* W A S HIN G*O N. 34 20001 ^ [ (202} 347 37CC O, c/ m

63 1 Q I don't know whether you're a quick reader or 2 not, and I don't like to a.sk you to read all four pages f 3 very quicki - but could I ask you to scan those four pages 4 to determine whether there's any discussion in here -- 5 A Boy, this is the worst copy I've ever seen. Does 6 anybcdy have a decent copy that I can read? Q Sure. Is this any clearer than yours? 8 (Document handed to the witness.) 9 A Yes, this looks a little easier. 10 Q Now, what I'm asking you to look for, if you can, I sir, is any reference at all to a discussion in that 3, meeting of the identify of the witness to be presented by i I3 m Dow. f~._ 14 (Witness reviewing document.) 15 A What was the question again? 18 Q Is there any indication in that set of meeting 17 notes of a discussion of the identity or character of the 18 witness that Dow should present? 19 A No, I don't see any. Well, on the witness I i I U don't see any. But I see there was a suggestien that we i I l l shculdn't volunteer the date. 22 l 0 That gces to the cuestion cf -- 1 22 I A Terminatien date. i i 2# C - termina:icn date. But there's ncthing in

  • C there suggesting who -he witness should be er shculd net be,
-- i n

p c: 72:2~ 1 derm::~1. snc .44 % cam w m snar? t} li i _U U[ 2 q e e A W A S HI N G TO N. O..O. 20041 J <2c22 2.r-aroo

61 1 is that correct? 2 A That is correct. / 3 But there's also something here which reminds j 4 me of something that says, "Still think Mr. Cherry may 5 show." There was a great feeling that this hearing would a be a very fast one without Mr. Cherry, and -- 7 Q I think that's something that most attorneys a would probably agree to, including Mr. Cherry. 9 (Laughter.) 10 In scanning these notes, did you have the impressicn that they were reasonably comprehensive of the 11 12 meeting? i A I guess so. Mr. Nute is present, I can't tell 13 n you that he doesn't take goed notes. 14 15 Yes. 16 Q Now, in light of the fact -- and I really do 17 understand the difficulty that one has in recollecting 18 avents and statements made semetime ago -- in light of the 19 fact that Mr. ' danes has testified that he hr.d no i 20 recollecticn of the witness' character er identity being 1 21 discussed at the =ecting, and in light of the fact that I'm speaking of the 9-2 4 meeting -- and in light cf che

3 fact that Mr. Nute's nctes of 3-24 do not refer te _;ac
4 matter, and'in light of.ne fact that Mr. Nute's actes cf
s Septe=her 21 de refer to that =atter, and in light cf the

&:: ']e:'e-:!, Eerciters, $nc 444 064 -a-W A S HI N GTO N. 0.0 20001 8202) 3474700

62 1 fact that Mr. Hanes said he had discussed this matter 'uith 2 you after September 21 but before September 24, and even / 3 recogni::ing the testimony you gave at page 2703, do you 4 have any doubt at all that the statement or the concern with regard to the nature of the witness was necessarily 6 made at that meeting, or the discussion you recall was really a discussion made or had by you with Mr. Hanes? 7 8 A I'm a reasonable man. Obviously you planted the t 9 seed of a doubt in my mind by all of these other statements, 10 by showing me these minutes which may or may not have 11 shown it. So all I can tell you is, to the best of my 12 ability on Februa y 1977 I was very sure it was done at 13 that. Today I can't be sure.semebody told =b that. m 14 Yes, you have planted a reasonable seed of 15 doubt by giving me this other input, whether I heard it 16 on the 22nd or the 24th. Q You' referred.to the new contract in your 17 18 discussion with Mr. Olmstead. I would take it that under 19 t'.at new contract you are relying upon 1.he Midland nuclear l 20 plant providing you with steam and electricity, is that I t 21 correct? l A Yes. Mostly steam. The electrical contrsc: 23 is Shor* te C. 24 want to volunteer sc=ething else. My lawyers S say you never volunteer. But -- a 4 g %W= AS" YOS $5 UA*

  • II'"-

e n e r* 4.44 4CRTM " A FM L. STMEET W A 1MI M QT O N. 3.0 20001 '202) 347-J700

63 l 0 Just for the draft, t 2 A I'll say that at this time, in the last two 3 ! years, we have more confidence that it will be built at 4 the price and timing than I did two years ago. I think 5 progress has been good in the two years. 6 Q Thank you. 7 Just one final matter. You were advised, you i 8 sa'd, that anything written with regard to the Dow-Consumers 9 arrangements would go to the NRC and, therefore, in that 10 context you assumed that in effect any new developments i were being reported to the NRC'. 11 i 12 A Yes. j i 1 13 ! Q Who gave you that advice? l 14 l A I believe it must have been Mr. Nute. It could (L i l have been Mr. Hanes. I'm pretty sure that it was one of 15 i 16 l our lawyers. 17 [ Q And it was in the context -- 1 18 A It could have even been Joe Temple. l 19 l Q And it was in the context, wasn't it, that 20 anything you write is subject to discovery and - 21 A And they also asked me to provide any nctes or 22 other things that I might have, frcm handwritten notes or i 22 l any papers I had in my files, l 24 ME. CH A?l!O FF : Thank you. I believe I'm 25 finished. 4 F 1 o C*t?! ' Jt: Cal CKCC7tC ', .f.)* tin 444 No m me cartT h stat e A ff QQ w a s MI N <m3 N. O.C. 20001 (1cza s47 21oc

64 1 MR. PCT *ER: I just have a couple questions. 2 BY MR. POTTER: 3 Q Mr. Oreffice, I'm going to show you again the memorandum which was apparently directed to you from 4 5 Joseph Temple on Septerier 8, 1976, and I'm going to ask 6 you: 7 Is it a fair statement that whatever the recem-8 mendatien of Joesph Temple, the general manager of the 9 Michigan Division and as head of the negotiating team, 10 whatever recc=mendation he was making to Cow USA for the 11 corporate review was centained within that memorandum? 12 A Yes, it was contained within this memorandum. 13 Yes, it was. -f% i 14 O So, to the extent that scmeone might have 15, attempted to characterize Mr. Temple's recccmendation at 16 scme point as a reccmmendation that we walk away from the 17 contract, whatever reccreendation Mr. Temple made 10 18 centained within that memorandum, is that correct? i 19 A It sure is, yes. i i i 20 Q New, if you'11 take a Icek at issue nurier 2, i 2: locking again at the Septerter 15, 1976 memcrandum to you frem Mr. Temole, which is kind of really jusc 1 ccver 22 l letter with the seven issues cutlined -here, is -hac I

s cor~ec:?
s A

Yes. $::- 5 dec[ c.Serc :: 1. $cc 444 4 C 4m ll;.a P'TC L ST14 EI* W A S HI NGTQ N. 'l3.4ll. 20001 '202) 347-3700

65 I 1 i l Q And those are recommended by Mr. Temple and c i 2 you approved them, is that correct? i 3 i A That is correct. And I think they're approved 4 i exactly as recommended. i 5 I Q Now, would you agree with me that issue number 1 6 2 states: 7 " Review of the legal aspects, past, present i 8 and future, outlook by Jim Hanes" and there's an i 9 F asterisk there, and it goes on and says, I l 10 ' "...particularly the 1975 decision to renegotiate the existing contract to reduce our 12 dependence upon Consumers for steam and power to 13 an absolute minimum, rather than pursue a claim (..' 14 j of breach of contract." i 15 Does that appear in there? l 16 A That's what it says. l 17 MR. CHARNOFF: Excuse me. Is not the asterisk 18 next to the word "past" rather than -- 19 MR. PO CER: Yes, that's where the asterisk i I 20 appears. i 21 BY MR. 2CMER: 22 O Now, one final cuestion, and it's along the '3 line of the examination that was being ccnducted by :'.r. Charnoff: -c Do you recall during the ce_ crate review -- I'm M r i ? ^ c-*: 7::::t cn:c:t:11 Sc:. 4 068 444 M C a m CA PTTC L S*WEET W A $ Mi M GTC N, 3.0. 20001 s201) 347 370C

66 talki7g now -- I mean when the presentation was being 1 made on September 27 to the Cow USA board, whether Mr. 2 in 3 Hanes made any statement to you about whether or not, 4 turn, he had heard of a sts.tement from somebody else as to the type of Cow witness that was to be used? 5 6 MR. CHARNOFF: Could I have that question read 7 back? (Whereupon, the reporter read frca the record, 8 9 as requested.) 10 THE Wr" NESS : I don't remember for sure that 11 Mr. Hanes made the statement, but when I previously 12 testified that I raised some he13 that I made a statement, 13 I know I did at that meeting, because I wanted to make A 'f sure that the whole management corenittee of Dow USA heard v 14 i 15 that, that we were going to supply the most knowledgeable 16 witness we had. 17 BY MR. PCT'"ER: 18 Q Would I be correct, then, id you did make a 19 statement like that at the September 27, 1976 meeting, that 20 somewhere during the presentation somebody on that review l l l 21 team said something to you to the effect that they hac heard that a less than knowledgeable witness was being 23 requested?

4 MR. CHA?liCFT :

2xcuse me. That somebcdy at tha 25 neeting said it, or prior to the meeting said it? 444 069 c, C f * ]CCAs WCCs*CZ, f:$ 444 N C 8t TH OA Pt Mt. ST14 C ET W A S HI N GTC N. 3.f 20000 (202) 3A 7-JTOC

67 1 MR. PO'I"IER : Yes, at that meeting. i 2 l THE WITNESS: No, I certainly believe that it 3 was part of the review, and probably Mr. Hanes was the one i 4 ! that said it, but I don't remember it. 5 l BY MR. POTTER: 6 ; Q The only thing that I'm suggesting, Mr. Oreffice, 7 ! is: Is it possible that the first time that you heard the 8 i Dow employee's statement that they had, in turn, heard i 9 that a Consumers Power Company's attorney had requested l 10 a less than knowledgeable witness, is it possible that the first time you heard that statement was at the Sep' ember 11 12 ! 27 meeting? 13 MR. CHAR'iOFF: I've got an objection as to the 14 i characterization of that, because I think Mr. Hanes' g_ I testimony was - and I think even Mr. Oreffice's testimony t 15 16 was - that it was a suggestion or a statement made in the 17 context of kind of a rambling discussion, as distinguished 18 frca a request that Dow put on a non-knowledgeable witness. i 19 MR. POTTER: Well, the record will speak for i itself. l 20 l 21 MR. CHAR:iOFF: I just note an objection to the l term " request." .I i 23 '"HE 'C'"NES S : Is it possible that the first l time ! hea-d it was - 24

5 3Y MR. PC'"TE R:

l 444 010 ace- ?ce d a<==== D= 444 NORTH O A PITO I. STMEET f W A S MINGTO N. Q.C. 20001 ] ucm we

63 Q That the first time you heard of a Consumers 1 4 Power Company request relating to the character of the 2 Dew witness, is it possible that the first time you heard 3 that request was at the September 27 =eeting, rather than 5 at the September 24 =eeti'.ig? 6 MR. CHARNOFF: Same objection to the word 7 " request." 8 l THE WITNESS: I guess anything is possible 2-1/2 years later, between this question whether it's 9 10 September 22 or 24 or 27, 1976, you are all putting a seed 11 of a doubt in my mind. 12 When I was fresher on this, I thought for sure 13 l it was September 24th_ when I first heard about it. p A I 14 BY MR. POTTER: 15 Q One last question: 16 At any ti=e, Mr. Oreffice, prior to the -- I won't even put a date on it - at any time did any Dcw 17 lawyer or any Dow employee cece to you and suggest that 18 Dew put on a less than kncwledgeable witness? 19 1 20 A Absolutely net. I think that it was put in l 1 21 terms to me that such a thing had been suggested by l i 2: Censumers, and none of cur pecple thcught that it was a 22 gced idea. 24 MR. PCCTER: I have no iuruher cuesuicns. 25 MR. CLMSTEAC: I have nc furuher questicns, cse:- %'e :l c%:c-i, Dnc h w NCRW 04 pm t, start?

  1. AsHINGTCN. 3.C.

20001 '202) Jd7 37CC

69 1 SY MR. CHAPlIOFF : 2 0 When it was put to you that there was a Consumers Power Company representative who suggested the possibility 3 of a witness not fully knowledgeable of Mr. Temple's 4 positien, was it told to you in the context of that there 5 6 was some concern because Mr. Temple had taken some public positions before, or was it simply told to you nakedly? 7 8 Do you remember? 9 1 A I think the context was this is going to be a quick hearing, Cherry's not even going to show up, you 10 really shouldn't send somebody that knows too much and 11 12 prolong the thing. And that's the kind of context I 13 remember it in. +

u..

14 I don't remember specifically anything being said about Mr." Temple not being the witness. I =cre 15 16 re= ember it being the witness doesn't know too much, he 17 can't answer too much. 18 Q Incidentally, would Mr. Klemparens -- who was 19 Mr. Klemparens? 20 A He's changed about three jobs since, so ycu're j 21 asking who he was then? 2: O Right. 23 A He was head of Pricing, Ccw USA. ? ricing and 24 scme cther marketing functions.

5 1 O

And what was his task? I.ccice that in the c~l:: 9ede:::[ c@:re*: 1, $nc 444 N C le *H CA PtTO L. STMEET .f W ASHINGTC N. 3.4" 20001 (202J 3474700

70 1 September 15 :.amorandum frem Mr. Temple to you he 2 recommended that Al Kle=parens be the team leader for this 3 corporate DOW USA review, corcorate review. 4 A Right. 5 Q Was he named the team leader? 6 A Yes. 7 Q By you? a, A Yes. His specialty, obviously, was the econcmic 9 aspects. 10 O Was it his function as team leader to beccme 11 knowledgeable as to the Dow position with respect to the 12 Dow-Consumers arrangements? i 13. MR. POTTER: I'm nod sure what you mean by i. (q 14 Dow-Consumers arrangements. 15 MR. CHAPSOFF: Let me state it again. I'm 16 sorry. BY MR. N'IOFF: 17 ) 1 18 Q As team leader - I'm not sure whether it was 19 team leader er project review leader or what, but I l 20 understand we're talking about the grcup assigned by you i l

1 at Mr. Temple's suggestien to have a Ocw CSA review cf --
2 using M. Temple's language in his Septerter 3 r.e=0
2 a

~:cw, USA review of the Ccw Michigan, er at leas-Mr.

4 Temple's cwn cenclusiens, that under ccday's cendiciens --
5 ref erring to Septerier 3 - the nuci tar project will be s

- r

    • %M C$*

UCA$ $ SMsYL C0. y h m NCMTN OAP L. ST1t EI? W A S HI N G TC N. 2.C. 20001 42c21 147 3700

71 1 most likely disadvantageous to Dow and to the Midland 2 plant. 3 He was asked to make that review, wasn't he, 4 the review of the Ccw Michigan? 5 A Mr. Klomparens? e Q Yes. 7 A He was the team leader, but I think in this a context the team leader -- he was really part of the econcmic thing, and the team leader was somebody to get 9 ! I everybody together so that they could come up with a 10 i 11 conclusion. 12 i There were seme people very senior to Mr. 13 Klomparens in that group. ~ 14 ; O But in sordoing he was asked, in effect, to become kncwledgeable about the Ccw -- 15 16 A In general, but you could not expect a man who 17 had not been involved with this to beceme knowledgeable 18 of'every detail. That's why we had seme other people 19 running each part of it. 1 I

o Q

Okay. Would it be unreascnable for, say, an i I outside lawyer like myself or !ir. ?ctter, who recccnized that a gentleman like fir. Kle=parens was asked Oc becc=e team leader of this review, te ass =e that M. K1c=parens

4 would ' eceme kncwledgeable of the Ocw-Cens=ers arrangements
s and the Ccw intent with regard ec the Midland project?

444 074 a..:s s ag e am 444 4CRW CAMTC L. STREET M AS HI N GTO *4 3.0 200o1 ( i2o2J 247 c.7oo

72 I MR. POTTER: I'm going to have to object. In 2 cl1 fairness, there's no way Mr. Oreffice can form a 1 judgment as to whether an outside lawyer should draw frca 4 a document appointing semebcdy as head of a commission or 5 a review team inside of Dow. 6 You could rephrase it, but -- 7 MR. CHAMIOFF: I'11 accept that. 8 BY MR. CHARNOFF: 9 Q Would you, Mr. Oreffice, in reviewing documents i to ; such as Board Exhibits 1 and 2, under which you see the 11 assignment of Mr. Klemparens to make this review, would you i 12 assume that either before the review or as a consecuence 13 I of the review that the team leader would become knowledgeable m 14 of the studies conducted by each of the seven task forces, and of the results of those studies? 15 + 16 A Ch, I would hope that whoever is the leader 17 would find out about each of the things, because he's going 18 to have to put it all together. 19 But, again, I don't think he'd beceme kncwledge-20 able of all the details. I dcn't think there's ani wa/ l 21 anybcdy can do that. 22 0 Ee might net becc=e the nest kncwledgeable 23 persen, but he wculd beccme kncwledgeahle as ce che nature 24 cf these task force studies and cesults Of these, se chac 25 he cculd sum these up and present an inic=ed cpinion Oc you 444 07b CCf * $dCCCI O)\\dOWCA, /[ i F f a c0 4d4 4 C m *w CA P'TC t. ST1R E C Af AS Mt NGTC N. lll.a 10001 (302) 3474100

73 1 and to your board, isn't that right? l i 2 l A Yes, although some were presented by some of I 3 the task force -- 4 ' Q Well, they might ask the sub task force members 5 to make some specific presentations, but you would assume i 6 ) uhat this chairman or task force leader would become 7 { knowledgeable and informed, so that he could give you an 8 i informed opinion, isn't that right? i 9 l A Yes, but not necessarily deeply so. What I i to I i tried to say in the very beginning, he was not the boss i 11 { of these other people. He was more of a coordinator of 12 this whole effort. I 13 i Q But he would become more deeply involved than, O 14 j say, you would, as the recipient of the report, would he not? I 15 ! A Without a doubt. Absolutely. 16 MR. CHARNOET : I have no other questions. 17 BY MR. PO"""ER: 18 Q Just one further, Mr. Oreffice: 19 Regarding again Mr. Klomparens' role, basically il f 'O he was the member of the review team that was to conduct l' 21 the investigatien as to the ecencaic aspects, is that right? U A Well, it's clearly stated nere that he was, I among other -hings, te de the impact, the ecenceic imract. U Q And he was to be the administracive head Of :ne 25 cuher members cf the ceam? ll* d5 % 0 SOMsY$ I 44d N C ft TW CA PTTC L ITN EU W A S HIN G *C N. 2.0 20001 (2C2) 347.J70Q

74 j 1 l A Right. i i 2 Q And he was not to be spending a lot of time 3 i trying to conduct his own review of his area while he was i f 4 trying to conduct a review of everybody else's area as well, i 5 is.that true? He relied upon the other team members to do their own reviews? 6 i 7 i A Without a doubt. We had, I repeat, some very i l 8 senior people doing that. 9 I Q And at the actual presentation before the Dow 10 ! USA board most, if not all, of the panel menbers in fact i l 11 = made their own presentations, did they not? i f A That's right. As I say, we had some very senior 12 13 ! people on this, including a member of the Board of Directors i r%~ l of th'e Dow Chemical Company, who was not part of Dow USA. 14 We tried to pull the best people. 15 ' 1 16 : What I liked about the recommendation that Joe 17 l Temple made was that he really was getting the best men for i i 18 each part of the review that we had around. 19 BY MR. C'-IARNOFF : 20 Q Why did he suggest to you that-Mr. Klomparens he I i 21 the team leader, do you know? Cr why did you agree with that selection? A Well, I agreed with it because : thought he was -- .l again, 2-1/2 years ago : thought he was a fine man to do it.

s He probably had the time available frcm his regular duties.

5:: 9 dad rRe:c::ns. Occ 444 NCRTW OA PC 6 STM E E* W A S MIN GTC N. O..~ 2000t (202) 3474 700

75 1 That's part of it. And I thought he was a good T.an to do 2 < ~.. 3 -When you look at who else was on this team and 4 their time availability, and ability to put all of it 5 together, there's probably only one other guy who could 6 have done it. And it was a matter of selecting one. I 7 Q And you did value his judgment as well as the 8 judgments of each of these members? 9 A Obviously. 10 Q And so did the Dow USA board, I take it? 11 A All of these would be people who had the highest 12, esteem of the Cow USA board. i t 13 MR. CHAFlIOFF : Thank you, m i ~ 14 MR. OIldSTEAD: I assume, Mr. Oreffice, that 15 ' you've been advised that there may be a possibility of 16 your having to appear and testify in July? 1 17 MR. OREFFICE: I have heard that. I don't know 18 when in July, because I'm going to be out of the country. 19 MR. CHARiOFF: Washington is lovely in July. I 20 MR. CREFFICE: I hate that place. l il

1 (Whereupon, at 12:30 p.m.,

the taking of the depositi n was concluded.) 23 24 25 444 078 5: - ?cde.;:I. ?cyc::::1, One. 444 MC ft% CA PTO L $?1tEZT We s MIM C*C N. Of 20001 L 2C2) 3d7-3700

.Q .4 i 0 l l 1l CERTIFICATE OF NOTARY PUBLIC i 2l I, Mfd #ff. MA/ m a notary public, do 3 4l hereby certify that the witness whose testimony appears 54 herein, appeared before m'e and was duly sworn by me. /hJ fn. b < 1 " w 7 ! I Notary public in and 1or the 8l th<AWJ Ands

Shrua0, 9

>!r commission expires 10 11l N R. muc2 EmL*y Public. Midland County, Michigm My Commission D-l-es Aepst 3,1950

  • (r 12 13:

1 14 CERTIFICATE OF COURT REPORTER 15 l 16j I, William E. Landon Court Reporter do j i l 17! hereby certify that the testimony contained herein is a true l I' 18 record o f the testimony given by said witness, and I further 19 certify that I am neither attorney nor counsel for, related 20 to or employed by any of the parties to the action i n which 'l this statement is taken: and, further, that I am not a k l 22 relative or an employee of any attorrey or counsel employec 23 by the parties hereto, cr financially interes:cd in the 24l action. Ice - Fc: rst Re::cr ers, !ne. p m kt l / i l Court Reporter i i}}