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Category:Legal-Affidavit
MONTHYEARBVY 21-013, Submittal of Annual Financial Report and Certified Financial Statement2021-05-0606 May 2021 Submittal of Annual Financial Report and Certified Financial Statement BVY 20-015, Annual Financial Report and Certified Financial Statement2020-04-0606 April 2020 Annual Financial Report and Certified Financial Statement BVY 19-018, Annual Financial Report and Certified Financial Statement2019-06-0606 June 2019 Annual Financial Report and Certified Financial Statement BVY 17-001, Response to Request for Supplemental Information Related to Exemption2017-01-0909 January 2017 Response to Request for Supplemental Information Related to Exemption ML14204A7092014-07-23023 July 2014 Enclosure 3, Affidavit of Peter M. Yandow ML1127000682011-09-26026 September 2011 Enclosure 3, Mfn 10-245 R4, Affidavit ENOC-07-00042, Supplemental Information 2 in Support of Application for Order Approving Indirect Transfer of Control of Licenses2007-12-0505 December 2007 Supplemental Information #2 in Support of Application for Order Approving Indirect Transfer of Control of Licenses ENOC-07-00036, Entergy Operations, Inc. - Supplemental Information in Support of Application for Order Approving Indirect Transfer of Control of Licenses2007-10-31031 October 2007 Entergy Operations, Inc. - Supplemental Information in Support of Application for Order Approving Indirect Transfer of Control of Licenses ML0725000702007-09-0606 September 2007 Vermont Yankee - Letter from Mary C. Baty to Administrative Judges Enclosing Supplement 10 to the Hearing File Index, Privilege Log - Deliberative Process, Affidavit of Jonathan G. Rowley, and Declaration of Pao-Tsin Kuo ML0721400142007-07-26026 July 2007 Submittal of Affidavit of John P. Gaertner in Support of Continued Protection of Proprietary Documents ML0620605842006-07-17017 July 2006 Certification of Entergy'S Nineteenth Supplemental Discovery Disclosures, Affidavit of Craig J. Nichols ML0614500102006-05-24024 May 2006 Vermont Yankee - Letter from Steven C. Hamrick to Administrative Judges Enclosing the Signed Affidavits of Steven R. Jones for Staff Testimony Concerning NEC Contentions 3 and 4 ML0610400902006-04-0606 April 2006 New England Coalition'S Request for Leave to File New Contentions and the Declaration of Dr. Joram Hopenfeld ML0605401532006-02-21021 February 2006 Vermont Yankee - Letter from Jason C. Zorn to Administrative Judges Enclosing Supplement 23 to the Hearing File Index and Affidavit of G. Edward Miller, Jr ML0600904392006-01-0909 January 2006 Vermont Yankee - Letter from Jason C. Zorn to Administrative Judges Enclosing Supplement 20 to the Hearing File Index, an Update to the Privilege Log, and Affidavit of G. Edward Miller, Jr ML0536201232005-12-22022 December 2005 Vermont Yankee - Letter from Jason C. Zorn to Administrative Judges Enclosing Supplement 19 to the Hearing File Index and Affidavit of G. Edward Miller, Jr ML0535703982005-12-15015 December 2005 Certification of Entergy'S Twelfth Supplemental Discovery Disclosures, Affidavit of Chris Rose ML0525500692005-09-0606 September 2005 Vermont Yankee - Letter from Jason C. Zorn to Administrative Judges Enclosing Supplement 13 to the Hearing File Index, an Updated Privilege Log and the Affidavit of G. Edward Miller, Jr ML0520900742005-07-27027 July 2005 Vermont Yankee - Letter from Brooke D. Poole to Administrative Judges Enclosing Supplement 11 to the Hearing File Index and the Affidavit of G. Edward Miller, Jr ML0520003282005-07-14014 July 2005 Surveillance Program for Channel-Control Blade Interference ML0514502542005-05-24024 May 2005 Vermont Yankee - Letter from Brooke D. Poole to Administrative Judges Enclosing Supplement 8 to the Hearing File Index, an Updated Privilege Log, and Affidavit of John P. Boska ML0512403182005-05-0303 May 2005 Vermont Yankee - Letter from Brooke D. Poole to Administrative Judges Enclosing Supplement 7 to the Hearing File Index (Parties Only), Privilege Log, and Affidavit of John P. Boska (Parties Only) ML0508300312005-03-22022 March 2005 Vermont Yankee - Letter from Brooke D. Poole to Administrative Judges Enclosing Supplement 5 to the Hearing File Index, an Update to the Privilege Log, and Affidavit of John P. Boska ML0506804122005-02-14014 February 2005 Entergy'S Second Supplemental Discovery Disclosures ML0429601542004-10-11011 October 2004 Letter from Raymond Shadis Enclosing the Declaration of Paul M. Blanch Supporting New England Coalition'S Reply to Applicant and NRC Staff Answers to New England Coalition'S Request for Hearing, Demonstration of Standing. 2021-05-06
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/0? 0/1,6 DOCKETED USNRC July 17, 2006 (9:32am)
UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION OFFICE OF SECRETARY RULEMAKINGS AND Before the Atomic Safety and Licensing Board ADJUDICATIONS STAFF
)
In the Matter of
)
) Docket No. 50-271 ENTERGY NUCLEAR VERMONT )
YANKEE, LLC and ENTERGY ) ASLBP No. 04-832-02-OLA NUCLEAR OPERATIONS, INC. ) (Operating License Amendment)
(Vermont Yankee Nuclear Power Station) )
)
CERTIFICATION OF ENTERGY'S NINETEENTH SUPPLEMENTAL DISCOVERY DISCLOSURES AFFIDAVIT OF CRAIG J. NICHOLS County of Windham )
)
State of Vermont )
I, Craig J. Nichols, being duly sworn according to law, depose and state the following:
- 1. I am the Extended Power Uprate Project Manager for Entergy Nuclear Operations, Inc. My business address is 320 Governor Hunt Road, P.O. Box 250, Vernon, VT 05354. I am authorized to provide this certification, pursuant to 10 C.F.R. § 2.336(c), on behalf of Entergy Nuclear Vermont Yankee, LLC and Entergy Nuclear Operations, Inc. ("Entergy").
- 2. As Extended Power Uprate Project Manager I am responsible for the gathering and preparation of all of the analyses and documentation associated with the Extended Power Uprate for Vermont Yankee Nuclear Power Station. In connection with Entergy's nineteenth supplemental document disclosures in this proceeding, I have personally overseen the review and classification of all relevant documents and the production of the file compilations being provided by Entergy.
I&eIpc'e- s-c~ aIs~V ~~
- 3. To the best of my knowledge, information and belief, Entergy's Nineteenth Supplemental Discovery Disclosures, dated July 14, 2006, describe and transmit all materials required to be disclosed by 10 C.F.R. § 2.336(d) that were identified as relevant to the admitted contentions through a search of the information and documentation reasonably available to and under Entergy's possession, custody, or control.
- 4. Further, to the best of my knowledge, information, and belief, and based on a review of the information and documentation currently reasonably available to and under the possession, custody, or control of Entergy, these disclosures are accurate and complete as of the date of this certification.
Further, the affiant sayeth not.
Craig J. Nichols Subscribed and sworn to before me this 1.2 day of July, 2006 Ny omioPublic My commission expires ~L{~