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Category:Legal-Motion
MONTHYEARML0831905302008-11-0606 November 2008 Connecticut Coalition Against Millstone and Nancy Burton, (Attorney) Notice of Appeal ML0822506942008-08-11011 August 2008 NRC Staff'S Answer Opposing Petitioner'S Motion Dated July 31, 2008 for Nunc Pro Tunc Relief and Continuing Waiver of Electronic Filing ML0822506912008-08-11011 August 2008 NRC Staff Answer Opposing Petitioner'S Motion Dated July 31, 2008 for Nunc Pro Tunc Relief and Continuing Waiver of Electronic Filing ML0822700412008-08-0707 August 2008 Connecticut Coalition Against Millstone and Nancy Burton Revised Motion for Leave to File Their New And/Or Amended Contentions Based on Receipt of New Information and for Continuing Waiver of Electronic Filing ML0822003562008-07-31031 July 2008 Connecticut Coalition Against Millstone and Nancy Burton Motion for Leave to File Their Motion for Leave to File New And/Or Amended Contentions Based on Receipt of New Information Dated July 18, 2008, Nunc Pro Tunc, and for Continuing. ML0812207412008-05-0101 May 2008 Dominion Nuclear Connecticut'S Motion to Strike Portions of Connecticut Coalition Against Millstone and Nancy Burton'S Reply to Responses to Petition to Intervene ML0811305222008-04-16016 April 2008 Connecticut Coalition Against Millstone and Nancy Burton'S Motion to Consolidate Reply to NRC Staff and Dominion Responses to Petition to Intervene and for Extension of Time to File Consolidated Reply on or Before April 22, 2008 ML0604105372006-01-30030 January 2006 Motion Information Statement - Motion for Leave to Intervene, Dated 1/30/2006 ML0601704802006-01-0404 January 2006 Unopposed Motion of Dominion Nuclear Connecticut for Leave to Intervene & Corporate Disclosure Statement, Dated 1/4/06 ML0603101972005-11-25025 November 2005 2005/11/25-Motion to Reopen Millstone License Renewal Proceeding Filed by the Connecticut Coalition Against Millstone ML0523702062005-08-18018 August 2005 Motion of the Nuclear Energy Institute for Leave to File Brief as Amicus Curiae in Opposition to Suffolk County'S Request for an Exemption from or Waiver of 10 C.F.R. 50.47(a)(1) ML0523702092005-08-18018 August 2005 Brief of Dominion Nuclear Connecticut in Response to CLI-05-18 Concerning Suffolk County'S Late Petition and Waiver Request ML0510401902005-03-18018 March 2005 NRC Staff Motion to Strike County of Suffolk'S Reply and Response to 10 CFR 2.335 Request for Waiver ML0512602312004-10-0606 October 2004 Mandated Motion to Dismiss for Lack of Jurisdiction, the Petitioner'S Petition for Review of Two Decisions of the Nuclear Regulatory Commission, Dated 4/8/05 ML0426103042004-09-10010 September 2004 Federal Respondent'S Reply to Petitioner'S Objection to Motion to Dismiss, Dated 9/10/04 ML0426103012004-09-0303 September 2004 Petitioner'S Objection to Motion to Dismiss, Dated 9/3/04 ML0426103002004-09-0202 September 2004 Petitioner'S Motion for Extension of Time to Reply to Motion to Dismiss, Dated 9/2/04 ML0426102962004-08-26026 August 2004 Response by Dominion Nuclear in Support of Motion to Dismiss, Dated 8/26/04 ML0423900322004-08-18018 August 2004 Dominion'S Answer to Ccam'S Motion for Reconsideration and Request for Leave to Amend Petition ML0425701172004-08-16016 August 2004 Federal Respondents Motion to Dismiss, Dated 8/16/04 ML0809803502004-08-16016 August 2004 Connecticut Coalition Against Millstone V. USNRC and Dominion Nuclear Connecticut, No. 07-3577-ag; Federal Respondents' Motion to Dismiss ML0423205482004-08-0909 August 2004 Connecticut Coalition Against Millstone Motion for Reconsideration and Request for Leave to Amend Petition ML0425701112004-07-30030 July 2004 Order Granting Motion to Intervene, Dated 7/30/04 ML0425701092004-07-19019 July 2004 Unopposed Motion to Intervene, Dated 7/19/2004 ML0414201772004-05-14014 May 2004 Motion for Reconsideration of CLI-04-12 ML0412501942004-04-13013 April 2004 Appeal Scheduling Order #2 ML0411300352004-04-12012 April 2004 Connecticut Coalition Against Millstone Reply to NRC Staff and Dominion Response to Motion to Vacate ML0409901582004-04-0202 April 2004 Dominion'S Answer to Ccam'S Motion to Vacate Secretary Determination ML0409705222004-04-0202 April 2004 Millstone Units 2 & 3 - NRC Staff'S Response to Connecticut Coalition Against Millstone'S Motion to Vacate and to Accept Petition to Intervene and Request for Hearing ML0409300792004-04-0101 April 2004 Millstone Units 2 & 3 - NRC Staff'S Unopposed Motion for an Extension of Time to Respond to Connecticut Coalition Against Millstone'S Petition to Intervene and Request for Hearing ML0410403392004-03-22022 March 2004 Motion to Vacate NRC Secretary Determination of Petition Prematurity and to Accept Petiton to Intervene and Request for Hearing as of Date of Filing and to Apply 'Old' CFR Hearing Rules to Said Petition ML0405602262004-01-23023 January 2004 Motion for Leave to Intervene for Dominion Nuclear Connecticut, Inc. Dated 01/23/2004 ML0332202232003-11-17017 November 2003 NRC Staff'S Response in Opposition to Petitioner'S Motion for Reconsideration ML0331701272003-11-0404 November 2003 Answer of Dominion Nuclear Connecticut, Inc. to Motion of Connecticut Coalition Against Millstone for Reconsideration of CLI-03-14 ML0331701232003-11-0303 November 2003 Motion for Reconsideration ML0321806782003-06-11011 June 2003 Respondent'S Motion to Dismiss Petition for Review Granted Connecticut Coalition Against Millstone, No. 03-4372) Dated 06/11/03 ML0310506282003-04-14014 April 2003 Federal Respondents' Motion to Dismiss, Dated April 14, 2003 ML0307904422003-03-11011 March 2003 Motion Information Statement Re Leave to Intervene ML0307904362003-03-11011 March 2003 Motion of Dominion Nuclear Connecticut, Inc. for Leave to Intervene ML0307304392003-03-0707 March 2003 Motion of Petitioner, Connecticut Coalition Against Millstone, for One-Day Extension of Time to File Supplemented Petition and Contentions ML0208703162002-03-18018 March 2002 Connecticut Coalition Against Millstone and Long Island Coalition Against Millstone Response to NRC Staff Motion to Strike ML0207900102002-03-15015 March 2002 NRC Staff'S Motion to Strike Reply Brief Filed by Ccam/Cam ML0207100652002-03-0808 March 2002 NRC Staff'S Response to the Motion of the Nuclear Energy Institute for Leave to File an Amicus Brief ML0207301032002-02-27027 February 2002 Motion by the Nuclear Energy Institute for Leave to File an Amicus Brief in Response to the Commission'S Memorandum and Orders Dated February 6, 2002, Regarding the Commission'S Consideration of Potential Intentional Malevolent Acts ML0205802412002-02-26026 February 2002 NRC Staff'S Response Opposing Connecticut Coalition Against Millstone and Long Island Coalition Against Millstone'S Motion to Extend Scheduling Orders and Date of Oral Argument ML0205805842002-02-25025 February 2002 NRC Staff'S Motion to Compel Connecticut Coalition Against Millstone and Long Island Coalition Against Millstone to Respond to NRC Staff'S First Set of Descovery Requests Directed to Intervenors in the Reopened Proceeding ML0216901222002-02-22022 February 2002 Connecticut, Inc.'S Response to Motion to Extend Scheduling Orders and Date of Oral Argument ML0206505902002-02-21021 February 2002 Connecticut, Inc.'S Emergency Motion to Compel Answers to Interrogatories and Production of Documents ML0206506052002-02-19019 February 2002 Connecticut Coalition Against Millstone and Long Island Coalition Against Millstone Motion to Extend Scheduling Orders and Date of Oral Argument ML0202501972002-01-0303 January 2002 Connecticut'S Response to Connecticut Coalition Against Millstone and Long Island Coalition Against Millstone Reply to Oppositions to Motion to Reopen the Record and Request for Admission of Late-Filed Envrionmental Contention 2008-08-07
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_RS ,034:1 DOCKETED USNRC UNITED STATES OF AMERICA March 13, 2003 (3:58PM)
NUCLEAR REGULATORY COMMISSION OFFICE OF SECRETARY RULEMAKINGS AND SAFETY AND LICENSING BOARD PANEL ADJUDICATIONS STAFF Before Administrative Judges:
Ann Marshall Young, Chair Dr. Richard F. Cole Dr. Thomas S. Elleman In the Matter of Docket No. 50-336-OLA-2 DOMINION NUCLEAR CONNECTICUT, INC. ASLBP No. 03-808-02-OLA (Millstone Nuclear Power Station, Unit 2) March 7, 2003 MOTION OF PETITIONER, CONNECTICUT COALITION AGAINST MILLSTONE, FOR ONE-DAY EXTENSION OF TIME TO FILE SUPPLEMENTED PETITION AND CONTENTIONS The petitioner, Connecticut Coalition Against Millstone, respectfully moves the Licensing Board to permit it to file its Supplemented Petition and Contentions on March 10, 2003, one day beyond the deadline established in the Memorandum and Order1 dated February 14, 2003.
The petitioner respectfully represents as follows:
- 1. Since on or about December 26, 2002, petitioner's attorney, the undersigned, has attended to a close family member in a seriously ill condition, on a virtual 24-hour basis two hours away from her office.
- 2. Such family member, who resides two miles downwind from the Millstone "Ruling on Standing of Petitioners to Proceed and Setting Deadlines for Supplemented Petition "1
and Contentions."
lemp lf- =secy-Nl
Nuclear Power Station in Waterford, Connecticut, and who has no family history of cancer, is battling a rare and aggressive form of breast cancer.
- 3. Recent circumstances have required the undersigned to devote intensified care to such family member.
- 4. Such circumstances have made it impossible for the undersigned to complete the Supplemented Petition and Contentions for filing on March 7, 2003.
- 5. Wherefore, the petitioner moves the Licensing Board of grant this motion and adjust the scheduling orders entered correspondingly to accommodate the Licensee and Staff should they so request accommodation.
THE PETITIONER By: J Nancy Idfon;,_Esq.
147 Cos$ Highway Reddihg" Ridge CT 06876 Tel. 203-938-3952/Fax 203-938-3168 Email: nancyburtonesq~aaol.com Fed. Bar No. 10836 2
UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION SAFETY AND LICENSING BOARD PANEL Before Administrative Judges:
Ann Marshall Young, Chair Dr. Richard F. Cole Dr. Thomas S. Elleman In the Matter of _..Docket No. 50-336-OLA-2 DOMINION NUCLEAR CONNECTICUT, INC. ASLBP No. 03-808-02-OLA (Millstone Nuclear Power Station, Unit 2) March 7, 2003 CERTIFICATE OF SERVICE OF MOTION OF PETITIONER, CONNECTICUT COALITION AGAINST MILLSTONE, FOR ONE-DAY EXTENSION OF TIME TO FILE SUPPLEMENTED PETITION AND CONTENTIONS I hereby certify that a copy of the foregoing "Motion of Petitioner, Connecticut Coalition Against Millstone, for One-Day Extension of Time to File Supplemented Petition and Contentions" was sent via U.S. Mail, postage pre-paid on March 7, 2003 to the following and emailed to the addresses below indicated:
Office of the Secretary U.S. Nuclear Regulatory Commission Washington DC 20555 (Attention: Rulemakings and Adjudication Staff)(Original + 2) hearincqdocket5nrc..qov . .
JMC3@nrc.gov Office of Commission Appellate Adjudication U.S. Nuclear Regulatory Commission Washington DC 20555-0001 Administrative Judge Ann M. Young, Chair Atomic Safety and Licensing Board Panel Mail Stop - T-3-F23 U.S. Nuclear Regulatory Commission Washington DC 20555-0001 3
AMY@nrc.gov Administrative Judge Dr. Thomas S. Elleman Atomic Safety and Licensing Board Panel U.S. Nuclear Regulatory Commission Washington DC 20555-0001 elleman@eos.ncsu.edu Administrative Judge Dr. Richard F. Cole U.S. Nuclear Regulatory Commission BPOOLE@winston.com Washington DC 20555-0001 RFCI@nrc.gov David A. Repka, Esq.
Brooke D. Poole, Esq.
1400 I Street NW Washington DC 20005 DREPKA@winston.com Lillian M. Cuoco, Esq.
Millstone Nuclear Power Station Building 475/5 Rope Ferry Road Waterford CT 06385 LillianCuoco@dom.com Ann P. Hodgdon, Esq.
Brooke G. Smith, Esq.
Office of the General Counsel Mail Stop - o-15D21 U.S.-Nuclear-Regulatory Commission Washington DC 2055-0001 APH(anrc.qov BGS@nrc.gov Nancy ýton', Esq--.
147 Cfos* Highway Reddih Ridge CT 06876 Tel. 203-938-3952/9Fax 203-938-3168 nancyburtonesq@aol.com Fed. Bar No. 10836 4