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Category:Legal-Interrogatories and Response
MONTHYEARML0501203612005-01-0404 January 2005 Letter from Mark J. Wetterhahn to Diane Curran Enclosing Duke Energy Corporation'S Fourth Supplemental Response to Blue Ridge Environmental Defense League'S First Set of Discovery Requests to Duke Regarding Bredl Security Contention 5 ML0433501372004-11-19019 November 2004 Duke Energy Corporation'S Second Supplemental Response to Blue Ridge Environmental Defense League'S First Set of Interrogatories on Bredl Security Contention 5 ML0432404862004-11-19019 November 2004 Catawba - NRC Staff'S Second Supplemental Response to the Blue Ridge Environmental Defense League'S Second Set of Discovery Requests to NRC Staff Regarding Security Plan Submittal ML0433103352004-11-17017 November 2004 Letter from Mark J. Wetterhahn to Diane Curran Attaching an Updated Index of Documents Responsive to Bredl Security Discovery Requests ML0432001142004-11-0202 November 2004 Duke Energy Corporation'S First Supplemental Response to Blue Ridge Environmental Defense League'S First Set of Interrogatories on Bredl Security Contention 5 ML0430003892004-10-22022 October 2004 Catawba - NRC Staff'S Supplemental Response to the Blue Ridge Environmental Defense League'S Second Set of Discovery Requests to NRC Staff Regarding Security Plan Submittal ML0428200922004-10-0505 October 2004 NRC Staff'S Response to the Blue Ridge Environmental Defense League'S Second Set of Discovery Requests to NRC Staff Regarding Security Plan Submittal ML0427800972004-09-24024 September 2004 Duke Energy Corporation'S Objections to Blue Ridge Environmental Defense League'S Second Set of Discovery Requests to Duke Energy Corporation Regarding Security Plan Submittal ML0427306022004-09-24024 September 2004 Catawba - NRC Staff'S Objections to Bredl'S Second Set of Discovery Requests to NRC Staff Regarding Security Contention 5 ML0426600152004-09-20020 September 2004 Blue Ridge Environmental Defense League'S Second Set of Discovery Requests to NRC Staff Regarding Security Plan Submittal ML0419404662004-07-0202 July 2004 Status of Duke Energy Corporation Responses and Objections to Blue Ridge Environmental Defense League'S Interrogatories and Document Production Requests on Security Contention 5 ML0419404652004-07-0202 July 2004 Duke Energy Corporation'S Response to Blue Ridge Environmental Defense League'S First Document Production Request on Bredl Security Contention 5 ML0419404682004-07-0202 July 2004 Duke Energy Corporation'S Response to the NRC Staff'S First Set of Interrogatories and Request for Production of Documents to Duke Energy Corporation on the Admitted Security Contention ML0419404852004-06-29029 June 2004 Duke Energy Corporation'S Third Supplemental Response to Blue Ridge Environmental Defense League'S First Discovery Request ML0417603382004-06-23023 June 2004 Catawba - NRC Staff'S Objections to Bredl'S First Set of Discovery Requests to NRC Staff Regarding Security Plan Submittal and Request for Protective Order ML0417601422004-06-23023 June 2004 Catawba - NRC Staff'S Response to the Blue Ridge Environmental Defense League'S Request for a Need to Know Determination ML0417504182004-06-21021 June 2004 Catawba - Addendum to NRC Staff'S First Set of Interrogatories and Request for Production of Documents to the Blue Ridge Environmental Defense League on Security Contention 5 ML0417503962004-06-21021 June 2004 Catawba - NRC Staff'S First Set of Interrogatories and Request for Production of Documents to Duke Energy Corporation on Admitted Security Contention ML0416805232004-06-0808 June 2004 Blue Ridge Environmental Defense League'S Response to NRC Staff'S Second Set of Interrogatories and Request for Production of Documents ML0416805182004-06-0808 June 2004 Blue Ridge Environmental Defense League'S Response to Duke Energy Corporation'S Second Set of Interrogatories and Requests for Production of Documents ML0416100672004-06-0404 June 2004 NRC Staff Third Supplemental Response to Bredl'S First Discovery Request ML0416203782004-06-0303 June 2004 Duke Energy Corporation'S First Supplemental Response to Blue Ridge Environmental Defense League'S Second Discovery Request ML0413303672004-05-11011 May 2004 Catawba - NRC Staff Second Supplemental Response to Bredl'S First Discovery Request ML0413202212004-05-10010 May 2004 Catawba - NRC Staff Response to the Blue Ridge Environmental Defense League'S Second Set of Discovery Requests ML0414005142004-05-10010 May 2004 Duke Energy Corporation'S Response to Blue Ridge Environmental Defense League'S Second Discovery Request ML0413303642004-05-0505 May 2004 Duke Energy Corporation'S First Supplemental Response to Blue Ridge Environmental Defense League'S First Discovery Request ML0412600262004-04-30030 April 2004 Catawba - NRC Staff'S (1) Objections to the Blue Ridge Environmental Defense League'S Second Set of Discovery Requests to NRC Staff and (2) Request for Protective Order ML0412603522004-04-26026 April 2004 Duke Energy Corporation'S Second Set of Interrogatories and Requests for Production of Documents Directed to Blue Ridge Environmental Defense League ML0412603442004-04-26026 April 2004 Blue Ridge Environmental Defense League'S Second Set of Discovery Requests to Duke Energy Corporation ML0412603392004-04-26026 April 2004 Blue Ridge Environmental Defense League'S Second Set of Discovery Requests to NRC Staff ML0411906402004-04-26026 April 2004 Catawba - NRC Staff'S Second Set of Interrogatories and Request for Production of Documents to the Blue Ridge Environmental Defense League and NRC Staff'S Notice of Deposition ML0412000232004-04-22022 April 2004 Blue Ridge Environmental Defense League'S First Supplemental Response to NRC Staff'S First Set of Interrogatories and Request for Production of Documents ML0411005292004-04-14014 April 2004 Catawba - Certificate of Service for NRC Staff'S Response to the Blue Ridge Environmental Defense League'S First Set of Discovery Requests to NRC Staff and NRC Staff Brief in Response to the Aslb'S April 8, 2004 Order ML0411005212004-04-14014 April 2004 Catawba - NRC Staff Brief in Response to the Aslb'S April 8, 2004 Order ML0411005262004-04-14014 April 2004 Catawba - NRC Staff'S Response to the Blue Ridge Environmental Defense League'S First Set of Discovery Requests to NRC Staff ML0411005272004-04-14014 April 2004 Orr, Palla Shoop and Shih-Liang Wu ML0411205212004-04-14014 April 2004 Blue Ridge Environmental Defense League'S Response to Duke Energy Corporation'S First Set of Interrogatories and Requests for Production of Documents ML0411205252004-04-14014 April 2004 Blue Ridge Environmental Defense League'S Response to NRC Staff'S First Set of Interrogatories and Request for Production of Documents ML0411300692004-04-14014 April 2004 Duke Energy Corporation'S Response to the NRC Staff'S First Set of Interrogatories and Request for Production of Documents to Duke Energy Corporation ML0411303922004-04-14014 April 2004 Duke Energy Corporation'S Response to Blue Ridge Environmental Defense League'S First Discovery Request ML0410001142004-04-0202 April 2004 Duke Energy Corporation'S Objections to Blue Ridge Environmental Defense League'S First Discovery Request ML0409602572004-04-0202 April 2004 League'S First Set of Discovery Requests to NRC Staff ML0411205272004-03-31031 March 2004 Blue Ridge Environmental Defense League'S First Set of Discovery Requests Directed to Duke Energy Corporation ML0410704432004-03-31031 March 2004 NRC Staff'S First Set of Interrogatories and Request for Production of Documents to Duke Energy Corporation ML0409801972004-03-31031 March 2004 Blue Ridge Environmental Defense League'S First Set of Discovery Requests to NRC Staff ML0409801882004-03-31031 March 2004 Duke Energy Corporation'S First Set of Interrogatories and Requests for Production of Documents Directed to Blue Ridge Environmental Defense League ML0409200232004-03-31031 March 2004 Catawba - NRC Staff'S First Set of Interrogatories and Request for Production of Documents to the Blue Ridge Environmental Defense League ML0210803372002-04-11011 April 2002 First Response of Duke Energy Corporation to the Nuclear Information and Resource Service'S Interrogatories, Requests for Admission and Requests for Production to Duke Energy ML0210803512002-04-0808 April 2002 Letter from David A. Repka to ASLBP Forwarding a Written Recounting of the Remaining Discovery Disputes Involving the Nuclear Information and Resource Service ML0210701452002-04-0505 April 2002 Duke Energy Corporation'S First Set of Interrogatories, Requests for Admission, and Document Production Requests to the Nuclear Information and Resource Service 2005-01-04
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RAS 7991 June 23, 2004 DOCKETED 06/24/04 UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of )
)
DUKE ENERGY CORPORATION ) Docket Nos. 50-413-OLA
) 50-414-OLA
)
(Catawba Nuclear Station )
Units 1 and 2) )
NRC STAFFS RESPONSE TO THE BLUE RIDGE ENVIRONMENTAL DEFENSE LEAGUES REQUEST FOR A NEED TO KNOW DETERMINATION INTRODUCTION By letter dated June 19, 2004, the Blue Ridge Environmental Defense League (BREDL) requested a need to know determination regarding information and documents requested by BREDL through discovery requests served on Duke Energy Corporation (Duke) and the NRC Staff (Staff), including Dukes security plan for the Catawba Nuclear Station and answers to specific interrogatories 12-17 to the Staff. The request was made pursuant to the above-captioned proceeding concerning Dukes request to amend the operating licenses for the Catawba nuclear power plants to authorize irradiation of mixed oxide fuel lead test assemblies. The Staff had determined that BREDL does not have a need to know the requested information.
DISCUSSION For Safeguards Information (SGI), the access requirements of 10 C.F.R. § 73.21(c) must be followed. These requirements state that an individual may be granted access to safeguards information if that person has an established need to know for the information and is . . . [an]
individual to whom disclosure is ordered pursuant to § 2.744(e) of the Commissions regulations.
10 C.F.R. § 73.21(c)(1)(vi). Need to know is defined as a determination by a person having
responsibility for protecting Safeguards Information that a proposed recipients access to Safeguards Information is necessary in the performance of official, contractual, or licensee duties of employment. 10 C.F.R. § 73.2(a). In the context of litigation, disclosure of information necessary to a proper decision in the proceeding may be made to parties in the proceeding . . .
and to their qualified witnesses and counsel. 10 C.F.R § 2.744(e). A witness is qualified to receive SGI only if they are qualified as an expert in the subject matter of the SGI documents.
Pacific Gas and Elec. Co. (Diablo Canyon Nuclear Power Plant, Units 1 and 2), ALAB-410, 5 NRC 1398, 1404 (1977); see also 46 Fed. Reg. 51718 (Oct. 22, 1981); Duke Energy Corp.
(Catawba Nuclear Station, Units 1 and 2), CLI-04-6, 59 NRC 62, 71-73 (2004).1 As the party offering an expert witness, BREDL bears the burden of showing that the proposed witness is qualified on the basis of his education, knowledge and experience. See Carolina Power &
Light Co. (Shearon Harris Nuclear Power Plant), LBP-01-9, 53 NRC 239, 250 (2001); see also Fed. R. Evid. 702.
In the instant case, there is insufficient basis on the record to find that BREDLs proffered security expert, Dr. Lyman, is an expert on security matters. Therefore, the NRC Staff has determined that BREDL does not have a need to know for the documents discussed in the June 19, 2004 letter.
Respectfully submitted,
/RA/
Margaret J. Bupp Counsel for NRC Staff Dated at Rockville, Maryland this 23rd day of June 2004 1
This issue is also discussed in the Staffs Objections to the Blue Ridge Environmental Defense Leagues First Set of Discovery Requests to NRC Staff Regarding Security Plan Submittal, filed on June 23, 2004.
UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of )
)
DUKE ENERGY CORPORATION ) Docket Nos. 50-413-OLA
) 50-414-OLA
)
(Catawba Nuclear Station )
Units 1 and 2) )
CERTIFICATE OF SERVICE I hereby certify that copies of NRC STAFFS RESPONSE TO THE BLUE RIDGE ENVIRONMENTAL DEFENSE LEAGUES REQUEST FOR A NEED TO KNOW DETERMINATION in the above-captioned proceeding have been served on the following by deposit in the United States mail, first class; or as indicated by an asterisk (*), by deposit in the Nuclear Regulatory Commissions internal mail system; and by e-mail as indicated by a double asterisk (**), this 23rd day of June, 2004.
Ann Marshall Young, Chair**
- Office of the Secretary**
- Administrative Judge ATTN: Docketing and Service Atomic Safety and Licensing Board U.S. Nuclear Regulatory Commission Panel Mail Stop: O-16C1 Mail Stop: T-3F23 Washington, D.C. 20555 U.S. Nuclear Regulatory Commission (E-mail: HEARINGDOCKET@nrc.gov)
Washington, DC 20555-0001 (E-mail: AMY@nrc.gov) Office of Commission Appellate Adjudication*
Anthony J. Baratta**
- Mail Stop: O-16C1 Administrative Judge U.S. Nuclear Regulatory Commission Atomic Safety and Licensing Board Washington, D.C. 20555 Panel Mail Stop: T-3F23 Atomic Safety and Licensing Board U.S. Nuclear Regulatory Commission Panel Washington, DC 20555-0001 Adjudicatory File*
(E-mail: AJB5@nrc.gov) U.S. Nuclear Regulatory Commission Mail Stop: O-16C1 Thomas S. Elleman** Washington, DC 20555 Administrative Judge Atomic Safety and Licensing Board Diane Curran, Esq.**
Panel Harmon, Curran, Spielberg 5207 Creedmoor Rd. #101 & Eisenberg, L.L.P.
Raleigh, NC 27612 1726 M Street, N.W., Suite 600 (E-mail: elleman@eos.ncsu.edu) Washington, DC 20036 (E-mail: dcurran@harmoncurran.com)
Lisa F. Vaughn, Esq.** David A. Repka, Esq.**
Legal Department Anne W. Cottingham, Esq.**
Mail Code - PB05E Mark Wetterhahn, Esq.**
Duke Energy Corporation Winston & Strawn LLP 426 S. Church Street (EC11X) 1400 L Street, N.W.
Charlotte, NC 28201-1006 Washington, D.C. 20005-3502 (E-mail: lfVaughn@duke-energy.com) (E-mail: drepka@winston.com acotting@winston.com mwetterhahn@winston.com)
/RA/
Margaret J. Bupp Counsel for NRC Staff