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Category:Legal-Motion
MONTHYEARML12132A4682012-05-11011 May 2012 Motion to Strike ML0513902052005-05-13013 May 2005 Duke Energy Corporation'S Opposition to Blue Ridge Environmental Defense League'S Motion to Exceed Page Limitation ML0505502862005-02-15015 February 2005 Duke Energy Corporation'S Response to the Blue Ridge Environmental Defense League'S Motion to Re-open the Record on Security Contention 5 ML0504901822005-02-15015 February 2005 Catawba - NRC Staff Response in Opposition to Blue Ridge Environmental Defense League'S Motion to Re-Open the Record on Security Contention 5 ML0504700292005-02-15015 February 2005 Catawba - NRC Staff'S Response to Bredl'S February 3rd Letter ML0504503372005-01-31031 January 2005 Duke Energy Corporation'S Motion to Amend Protective Order to Add an Additional Individual to Receive Protected Information ML0502502522005-01-24024 January 2005 Catawba - Corrected Certificate of Service to the NRC Staff'S Motion to Amend December 15, 2003 Protective Order ML0502502492005-01-21021 January 2005 Catawba - NRC Staff'S Motion to Amend December 15, 2003 Protective Order ML0500602012004-12-22022 December 2004 Blue Ridge Environmental Defense League'S Opposition to NRC Staff'S Motion for Interlocutory Review of ASLB Ruling Amending Protective Order ML0436402832004-12-22022 December 2004 Response of Duke Energy Corporation to NRC Staff'S Motion for Expedited Interlocutory Review ML0436400962004-12-21021 December 2004 Catawba MOX - NRC Staff'S Motion for Interlocutory Review of the Licensing Board'S December 17, 2004 Order Amending the Protective Order and Request for Expedited Review ML0500501202004-12-20020 December 2004 Catawba - NRC Staff'S Motion for Stay Pending Interlocutory Review of the Licensing Board'S December 17, 2004 Order Amending Protective Order ML0435503702004-12-20020 December 2004 Letter from Diane Curran to Emile Julian Enclosing Blue Ridge Environmental Defense League'S Motion for Leave to File Prefiled Written Testimony Out of Time CY-03-215, Blue Ridge Environmental Defense League'S Motion for Leave to Reply to NRC Staff'S Response to Need-to-Know Appeal with Accompanying Reply2004-12-15015 December 2004 Blue Ridge Environmental Defense League'S Motion for Leave to Reply to NRC Staff'S Response to Need-to-Know Appeal with Accompanying Reply ML0500404622004-12-15015 December 2004 Catawba MOX - NRC Staff'S Response to Bredl'S Appeal of Staff'S Adverse Need-to-Know Determination Regarding SECY-03-215 ML0435700192004-12-15015 December 2004 Blue Ridge Environmental Defense League'S Motion to Amend Protective Order ML0432803532004-11-22022 November 2004 Catawba - NRC Staff Response to Bredl Motion for Imposition of Interim Discovery Measures to Compensate for Unavailability of ADAMS ML0433501362004-11-15015 November 2004 Duke Energy Corporation'S Response to Bredl Motion for Imposition of Interim Discovery Measures and Delay in the Hearing Schedule ML0431703692004-11-0505 November 2004 Motion for Approval of Consent Order Regarding Document Discovery; Consent Order Regarding Document Discovery; Blue Ridge Environmental Defense League'S Motion for Imposition of Interim Discovery Measures to Compensate. ML0430904602004-10-28028 October 2004 Duke Energy Corporation'S Response to Motion for Reconsideration of CLI-04-29 ML0430104462004-10-18018 October 2004 Blue Ridge Environmental Defense League'S Motion for Reconsideration of CLI-04-29 ML0426703602004-09-22022 September 2004 Catawba - NRC Staff'S Motion to Amend December 15, 2003 Protective Order ML0426800692004-09-17017 September 2004 Duke Energy Corporation'S Opposition to Blue Ridge Environmental Defense League'S Motion to Compel Production of the Proposed Security Plan for Catawba Nuclear Station ML0426401042004-09-0707 September 2004 Blue Ridge Environmental Defense League'S Motion to Compel Production of Revision 17 of Security Plan for Catawba Nuclear Power Plant ML0425702412004-09-0707 September 2004 Catawba - NRC Staff Response to Intervenor'S Motion Requesting Access to Certain Classified Documents ML0425303862004-08-31031 August 2004 Duke Energy Corporation'S Response to Blue Ridge Environmental Defense League'S Request for Need-to-Know Determination on Classified Regulatory Guidance for NRC Category I Facilities ML0424701652004-08-27027 August 2004 Duke Energy Corporation'S Request for Action Under Subpart I of 10 C.F.R. Part 2 ML0424402492004-08-26026 August 2004 Blue Ridge Environmental Defense League'S Request for Need-to-Know Determination ML0421605462004-07-27027 July 2004 Duke Energy Corporation'S Motion to Modify December 15. 2003 Protective Order ML0421003572004-07-20020 July 2004 Blue Ridge Environmental Defense League'S Opposition to NRC Staff'S Motion for Leave to Reply to Bredl'S Opposition ML0420301732004-07-19019 July 2004 Catawba - NRC Staff'S Motion for Leave to Reply to Bredl'S Opposition to NRC Staff'S Petition for Review Regarding Bredl'S Security Expert and NRC Staff'S Reply to Bredl'S Response to Staff'S Petition for Review ML0419803032004-07-0808 July 2004 Duke Energy Corporation Motion to Compel Discovery Responses from Blue Ridge Environmental Defense League Relating to Security Contention 5 ML0419802952004-07-0808 July 2004 Letter from Diane Curran to Administrative Judges Enclosing Blue Ridge Environmental Defense League'S Motion to Compel Security-Related Discovery Responses by NRC Staff ML0419003282004-07-0707 July 2004 Catawba - NRC Staff'S Motion to Compel Bredl to Respond to NRC Staff'S First Set of Discovery Requests on Security Contention 5 ML0418400042004-06-30030 June 2004 Catawba - NRC Staff'S Petition for Review of the Licensing Board'S Ruling Related to Bredl'S Proffered Security Expert ML0418400022004-06-30030 June 2004 Catawba - NRC Staff'S Motions for Temporary Stay to Preserve the Status Quo and for Stay Pending Interlocutory Review of the Licensing Board'S June 25, 2004 Finding Regarding Dr. Edwin Lyman'S Expertise ML0417503272004-05-21021 May 2004 Blue Ridge Environmental Defense League'S Motion for Leave to Withdraw Contention II and Request to Change Hearing Schedule for Contention I ML0414004642004-05-11011 May 2004 Duke Energy Corporation'S Motion to Modify Protective Order ML0411900812004-04-19019 April 2004 Blue Ridge Environmental Defense League'S Proposed Hearing Schedule and Request for Reconsideration of Aslb'S Internal Deadline of August 2004 for Issuing a Decision in This Proceeding ML0411900752004-04-19019 April 2004 Blue Ridge Environmental Defense League'S Motion for Clarification or Reconsideration April 8, 2004, Order ML0411107922004-04-16016 April 2004 NRC Staff'S Motion to Compel Blue Ridge Environmental Defense League to Respond to NRC Staff'S First Set of Interrogatories and Request for Production of Documents ML0410001092004-04-0202 April 2004 Duke Energy Corporation'S Motion for Protective Order ML0409202502004-03-30030 March 2004 Nuclear Regulatory Commission Staff'S Response to Duke Energy Corporation'S Motion to Dismiss Contention III ML0409203312004-03-25025 March 2004 Blue Ridge Environmental Defense League'S Opposition to Duke Energy Corporation'S Motion to Dismiss Contention III ML0408306822004-03-15015 March 2004 Duke Energy Corporation'S Motion to Dismiss Contention III ML0405004752004-02-11011 February 2004 Certificate of Service for NRC Staff'S Petition for Review of the Licensing Board'S February 4, 2004 Order Relating to Bredl'S Request to Attend a Closed Meeting. ML0405004672004-02-11011 February 2004 Affidavit of John A. Nakoski in Support of NRC Staff Request for Interlocutory Review ML0404202532004-02-0303 February 2004 Blue Ridge Environmental Defense League'S Emergency Motion for Access to NRC Staff Meeting on February 6, 2004 ML0403604932004-02-0202 February 2004 Catawba -- NRC Staff'S Motion for Interlocutory Review of the Licensing Board'S January 29, 2004 Order Finding a Need-To-Know and Ordering NRC Staff to Provide Petitoner with Acess to Documents Containing Safeguards Information (Superceded) ML0403604702004-01-30030 January 2004 Catawba MOX - NRC Staff'S Motions for Temporary Stay to Preserve the Status Quo and for Stay Pending Interlocutory Review of the Licensing Board'S January 29, 2004 Order Regarding Access to NRC Documents Containing Safeguards Information 2012-05-11
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February 15, 2005 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 BREDLS FEBRUARY 3RD LETTER INTRODUCTION On February 3, 2005, the Blue Ridge Environmental Defense League (BREDL) submitted a letter to the Atomic Safety Licensing Board Panel (Board) detailing its position on a number of outstanding matters in the above-captioned matter. In the letter, BREDL requested that an Official Use Only (OUO) document submitted by the NRC staff (Staff) under no objection and entered as Exhibit SEC-OUO-2 be replaced by an unrestricted version submitted by BREDL. The Staff opposes this request for the reasons discussed herein.
DISCUSSION Exhibit SEC-OUO-2 is a document called the Red Team Report, which originated in the United States Department of Energy (DOE). DOE designated the document as OUO. The document was introduced into evidence by both the Staff and BREDL; the Staff submitted the document in its entirely, while BREDL submitted only those portions of the document relevant to its testimony. Both versions were admitted into evidence without objection on January 13, 2005.
At the time the Staffs version was introduced, BREDL requested that it be able to submit an unrestricted version of the document as a substitute for its own exhibit. Tr. at 5035-36. No objection was made by any party. By January 14, 2005, BREDL had not yet located an unrestricted
version of the exhibit. Tr. at 5353. The Staff however, had reviewed the unrestricted version and concluded that there were enough differences between it and the OUO version, that it would rather keep the OUO version in the record. Tr. at 5352. BREDL had no objection to the Staffs exhibit but reserved the right to substitute an unrestricted version for its own exhibit. Tr. at 5353.
In its February 3, 2005 letter to the Board, BREDL now requests that the unrestricted use version of the Red Team Report be substituted for the complete copy of the report that is attached in full to the Staffs testimony. See BREDL February 3, 2005 letter. The Staff objects to BREDLs request. If BREDL wishes to submit the unrestricted version in place of its own restricted version of its exhibit, the Staff has no objection at this time. BREDL may not however, substitute its exhibit for the Staffs. There were no objections to the Staffs version at the time of its introduction or admission and BREDL may not object to it now. See Florida Power & Light Co. (St. Lucie Nuclear Power Plant, Unit 2), ALAB-335, 3 NRC 830, 842 n.26 (1976); Tennessee Valley Authority (Hartsville Nuclear Plant, Units 1A, 2A, 1B & 2B), ALAB-463, 7 NRC 341, 362 n. 90 (1978).
It is not within BREDLs purview to determine whether the information contained within the unrestricted version fulfills the Staffs purpose for submitting the document into evidence. The Staff submitted a document as an exhibit. It was entered into evidence without objection by any party.
BREDL may not use its own judgment to substitute another document for the Staffs exhibit subsequent to the close of the hearing. Therefore, the Staff opposes BREDLs request to replace Staff Exhibit SEC-OUO-2 with BREDLs version.
Respectfully submitted,
/RA/
Shana Zipkin Counsel for NRC staff Dated at Rockville, Maryland this 15th day of February, 2005
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 BREDLS FEBRUARY 3RD LETTER 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 15th day of February, 2005.
Ann Marshall Young, Chair * ** Office of the Secretary * **
Administrative Judge ATTN: Docketing and Service Atomic Safety and Licensing Board U.S. Nuclear Regulatory Commission Mail Stop: T-3F23 Mail Stop: O-16C1 U.S. Nuclear Regulatory Commission Washington, DC 20555 Washington, DC 20555-0001 (E-mail: HEARINGDOCKET@nrc.gov)
(E-mail: AMY@nrc.gov)
Office of Commission Appellate Anthony J. Baratta * ** Adjudication
- Administrative Judge Mail Stop: O-16C1 Atomic Safety and Licensing Board U.S. Nuclear Regulatory Commission Mail Stop: T-3F23 Washington, DC 20555 U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 Atomic Safety and Licensing Board (E-mail: AJB5@nrc.gov) Adjudicatory File
- U.S. Nuclear Regulatory Commission Thomas S. Elleman ** Mail Stop: T-3F23 Administrative Judge Washington, DC 20555 Atomic Safety and Licensing Board Mail Stop: T-3F23 Diane Curran, Esq. **
U.S. Nuclear Regulatory Commission Harmon, Curran, Spielberg Washington, DC 20555-0001 & Eisenberg, L.L.P.
(E-mail: elleman@eos.ncsu.edu) 1726 M Street, NW, Suite 600 Washington, DC 20036 (E-mail: dcurran@harmoncurran.com)
David A. Repka, Esq. ** Timika Shafeek-Horton Mark Wetterhahn, Esq. ** Lisa F. Vaughn Anne W. Cottingham, Esq. ** Law Department Lisa F. Vaughn, Esq. ** Duke Energy Corporation Timika Shafeek-Horton, Esq. ** 526 South Church Street, ECO7H Winston & Strawn, L.L.P. P.O. Box 1006 1400 L Street, NW Charlotte, NC 28201-1006 Washington, DC 20005-3502 (E-mail: lfVaughn@duke-energy.com (E-mail: drepka@winston.com tshafeek@duke-energy.com) acotting@winston.com mwetterhahn@winston.com)
/RA/
Shana Zipkin Counsel for NRC Staff