Document O3kYBjD7Yk9b31RMdkLBNvy1e

Ik W eil, G otshal & Manges A P A R T N E R S H IP IN C LU D IN G PR O F E S S IO N A L C O R PO R ATIO N S 7 6 7 FIFTH AVENUE NEW YORK, N.Y. 10153-0119 <2 IS ) 3 1 0 -8 0 0 0 f a x : (2 1 2 ) 3 1 0 -8 0 0 7 cable: w eqom a t e l e x : 4 2 3 1 4 4 WOM Ul W R ITE R 'S DIRECT LINE (212) 310-8904 July 16, 1993 DALLAS HOUSTON MENLO PARK (SILIC O N VALLEY) M IA M I W A S H IN G TO N , D .C . BRUSSELS BUDAPEST LONDON PRAGUE WARSAW VIA Federal Express - Saturday Delivery Paul E. Merrell, Esq. Bradley & Merrell c/o Jones, Jones, Close & Brown, Chartered 700 Bank of America Plaza 300 South Fourth Street, Suite 700 Las Vegas, Nevada 89101-6026 Re: Nevada Power Company v. Monsanto Company, et.al. United States District Court, District of Nevada, CV-5-89--555 - LDG (LRL) Dear Paul: Pursuant to our agreement, enclosed are copies of Wayne Bickerstaff1s testimony in the Insurance Litigation, as well as his recent deposition which, in part, concerns issues involving Plaintiff's Exhibit 1212. As we discussed, all of the other affidavits and testimony of individuals concerning Plaintiff's Exhibit 1212 were previously provided to you in Westinghouse's response to Nevada Power's Default Motion. I have also enclosed copies of documents concerning Plaintiff's Exhibit 1212 that were previously withheld as priviledged. Very truly yours, Enclosures Konrad L. Cailteux NYFS07.. . :\58\80758\0100\16*K\LTR71693.T30 OI