Post Effective Amendment No. 2 to
SEC File No. 70-8289
SECURITIES AND EXCHANGE COMMISSION
WASHINGTON, DC 20549
FORM U-1
APPLICATION
UNDER
THE PUBLIC UTILITY HOLDING COMPANY ACT OF 1935 ("Act")
GPU Generation Corporation ("GENCO")
1001 Broad Street
Johnstown, Pennsylvania 15907
JERSEY CENTRAL POWER & LIGHT COMPANY ("JCP&L")
300 Madison Avenue
Morristown, New Jersey 07960
METROPOLITAN EDISON COMPANY ("MET-ED")
PENNSYLVANIA ELECTRIC COMPANY ("PENELEC")
2800 Pottsville Pike
Reading, Pennsylvania 19640
(Names of companies filing this statement and
addresses of principal executive offices)
GENERAL PUBLIC UTILITIES CORPORATION ("GPU")
(Name of top registered holding company parent of applicants)
T. G. Howson, Vice President W. Edwin Ogden, Esq.
and Treasurer Ryan, Russell, Ogden & Seltzer
M. A. Nalewako, Secretary 1100 Berkshire Boulevard
M. J. Connolly, Esq., Director P.O. Box 6219
of Legal Services Reading, Pennsylvania 19610
GPU Service Corporation
100 Interpace Parkway Robert C. Gerlach, Esq.
Parsippany, New Jersey 07054 Ballard Spahr Andrews & Ingersoll
1735 Market Street
R. S. Cohen, Secretary Philadelphia, Pennsylvania 19103
Jersey Central Power & Light Company
300 Madison AvenueDouglas E. Davidson, Esq.
Morristown, New Jersey 07960 Berlack, Israels & Liberman LLP
120 West 45th Street
William C. Matthews, II, Secretary New York, New York 10036
Metropolitan Edison Company
2800 Pottsville Pike
Reading, Pennsylvania 19640
(Names and addresses of agents for service)<PAGE>
GENCO, JCP&L, Met-Ed and Penelec hereby amend Post-Effective
Amendment No. 1 to their Application on Form U-1, docketed in SEC
File No. 70-8389, by adding new paragraphs N and O thereto to
read in their entirety as follows:
N. The NUGs for which O&M Services are to be
performed are "qualifying facilities" under the Public
Utility Regulatory Policies Act of 1978 and the
regulations thereunder of the Federal Energy Regulatory
Commission or "exempt wholesale generators" as defined
in section 32 of the Act. The O&M Services to be
performed would typically consist of one or more of the
following: pre-start-up service, operation staff
development and long-term operation, maintenance and
administration.
O. Since GENCO is not subject to the
j u risdiction of the New Jersey Board of Public
Utilities (or of the Pennsylvania Public Utilities
Commission) and since the provision of O&M Services is
encompassed within the activities contemplated by
proposed Rule 58, it is submitted that the reservation
of jurisdiction contained in the December 15, 1993
Order need not be carried forward with respect to any
aspects of the proposed transactions insofar as GENCO
is concerned.
1<PAGE>
SIGNATURE
PURSUANT TO THE REQUIREMENTS OF THE PUBLIC UTILITY
HOLDING COMPANY ACT OF 1935, THE UNDERSIGNED COMPANIES HAVE DULY
CAUSED THIS STATEMENT TO BE SIGNED ON THEIR BEHALF BY THE UNDER-
SIGNED THEREUNTO DULY AUTHORIZED.
GPU GENERATION CORPORATION
JERSEY CENTRAL POWER & LIGHT COMPANY
METROPOLITAN EDISON COMPANY
PENNSYLVANIA ELECTRIC COMPANY
By:________________________________
T. G. Howson
Vice President and Treasurer
Date: May 17, 1996<PAGE>