ML090840318
| ML090840318 | |
| Person / Time | |
|---|---|
| Site: | Turkey Point |
| Issue date: | 03/19/2009 |
| From: | NRC/OCM |
| To: | |
| Paige, Jason, NRR,301-415-5888 | |
| References | |
| 2.206 Petition, G20090107, NRC-2744, OEDO-2009-0091, TAC ME0759, TAC ME0760 | |
| Download: ML090840318 (42) | |
Text
Official Transcript of Proceedings NUCLEAR REGULATORY COMMISSION
Title:
2.206 Petition on Florida Power and Light Company by Thomas Saporito Docket Number:
(n/a)
Location:
(telephone conference)
Date:
Thursday, March 19, 2009 Work Order No.:
NRC-2744 Pages 1-41 NEAL R. GROSS AND CO., INC.
Court Reporters and Transcribers 1323 Rhode Island Avenue, N.W.
Washington, D.C. 20005 (202) 234-4433
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 1
UNITED STATES OF AMERICA 1
NUCLEAR REGULATORY COMMISSION 2
+ + + + +
3 PETITION REVIEW BOARD (PRB) 4 CONFERENCE CALL 5
+ + + + +
6 THURSDAY 7
MARCH 19, 2009 8
+ + + + +
9 2.206 PETITION ON FLORIDA POWER AND LIGHT COMPANY 10 BY THOMAS SAPORITO 11
+ + + + +
12 13 The conference call was held, Tim McGinty, 14 Petition Review Board Chairman, presiding.
15 NRC HEADQUARTERS STAFF:
16 TIM MCGINTY, Chairman, PRB 17 JASON PAIGE, Petition Manager 18 TANYA M. MENSAH, Petition Coordinator 19 SHERRY BONE, NRR/DPR 20 SHAHRAM GHASEMIAN, OGC/GCHEA/AGCMLE 21 PATRICK JEFFERSON, OI 22 AUDREY KLETT, NRR/ADRO/DIRS/IP 23 STACEY ROSENBERG, NRR/ADRO/DPR/PSP 24 25
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1 PETITIONER:
2 THOMAS SAPORITO 3
4 NRC REGION II STAFF:
5 MARVIN SYKES, DRP/PB3 6
7 APPEARANCES:
8 On Behalf of the Nuclear Regulatory Commission:
9 JENNY M. LONGO, ESQ.
10 Of:Office of General Counsel 11 Nuclear Regulatory Commission 12 One White Flint Mall 13 Suite 15D21 14 11555 Rockville Pike 15 Rockville, Maryland 20851 16 (301)415-3568 17 On Behalf of Florida Power and Light Company:
18 WILLIAM BLAIR, ESQ.
19 700 Universe Boulevard 20 Juno Beach, FL 33408 21 22 ALSO PRESENT:
23 JOHN DORSCHNER, MIAMI HERALD 24 DAVID HOFFMAN 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 3
PAUL INFANGER 1
P-R-O-C-E-E-D-I-N-G-S 2
1:03 a.m.
3 MR. PAIGE: I believe we have everyone on 4
line. I'm going to begin the meeting. I'd like to 5
welcome you to the Petition Review Board Discussion 6
with the Petitioner, Mr.. Thomas Saporito. The 7
purpose of this meeting is for the Petitioner, Mr..
8 Thomas Saporito, to address the Petition Review Board 9
for the request for enforcement action and 10 confirmatory order under 10 CFR 2.206 against Florida 11 Power and Light Company. The agenda for this meeting 12 is I'll go through the welcoming introductions. Mr..
13 Tim McGinty, the Petition Review Board Chair, will go 14 through the Board introductions and then we'll allow 15 Mr.. Thomas Saporito to provide additional information 16 and with his presentation and then we'll have closing 17 remarks by Tim McGinty.
18 I'd like to first just thank everybody for 19 attending this meeting. My name is Jason Paige, as I 20 stated earlier, and I'm the Turkey Point Project 21 Manager. We're here today to allow the Petitioner, 22 Mr.. Thomas Saporito, to address the Petition Review 23 Board regarding the 2.206 Petition dated January 11th, 24 2009.
25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
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I am the Petition Manager for this 1
Petition. The Petition Review Board Chairman is Tim 2
McGinty. He's the Director for the Division of 3
Policy and Rulemaking. As part of the Petition Review 4
Board's or PRB's review of this Petition, Mr.. Thomas 5
Saporito has requested this opportunity to address the 6
PRB.
7 This meeting is scheduled from 1:00 p.m.
8 to 2:00 p.m. The meeting is being recorded by the NRC 9
operations center and will be transcribed by a Court 10 Reporter. The transcript will become a supplement to 11 the Petition. The transcript will also be made 12 publicly available. Now, I'd like to open this 13 meeting with introductions. As we go around the room, 14 please be sure to state your name, your position and 15 the office that you work for within NRC for the record 16 and I'll start off with Tim McGinty to my left.
17 MR. McGINTY: Tim McGinty. I'm the 18 Division Director for NRR's Division of Policy and 19 Rulemaking. I am the Petition Review Board Chairman.
20 MS. MENSAH: Tanya Mensah. I am the 2.206 21 Coordinator, Office of Nuclear Reactor Regulations.
22 MS. LONGO: Jenny Longo. I'm a Senior 23 Attorney in the Office of the General Counsel.
24 MR. GHASEMIAN: Shahram Ghasemian, Senior 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
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Enforcement Advisor, Office of Enforcement.
1 MS. BONE: Sherry Bone, Acting Deputy 2
Director at DPR.
3 MS. KLETT: My name is Audry Klett. I'm a 4
Reactor Operations Engineer. I work in the Office of 5
Nuclear Reactor Regulations, Performance Assessment 6
Branch.
7 MR.
JEFFERSON:
Patrick Jefferson, 8
Operations Officer, Office of Investigations.
9 MS. ROSENBERG: Stacey Rosenberg, Branch 10 Chief of the Special Projects Branch in the Division 11 of Policy and Rulemaking in NRR.
12 MR. PAIGE: We've completed introductions 13 at the NRC headquarters. At this time, are there any 14 NRC participants from the Regional Office on the 15 phone?
16 MR. SYKES: This is Marvin Sykes, Chief of 17 Reactor Projects Branch 3 in the Atlanta Office, with 18 responsibility for the Turkey Point, St. Lucie and 19 Crystal River Sites.
20 MR. PAIGE: Are there any other Regional 21 representatives? Okay, the licensee for Turkey Point 22 is Florida Power and Light.
Are there any 23 representatives from Florida Power and Light on the 24 phone?
25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 6
MR. BLAIR: My name is Bill Blair, William 1
S. Bill Blair. I'm counsel for Florida Power and 2
Light.
3 MR. PAIGE: Okay, are there any other 4
representatives from Florida Power and Light? Mr..
5 Saporito, would you please introduce yourself for the 6
record?
7 MR. SAPORITO: Yes, sir. My name is 8
Thomas Saporito. I'm the President of Saporito Energy 9
Consultants and I am the Petitioner, along with my 10 company addressing the United States Nuclear 11 Regulatory Commission today with respect to the 12 operations of the Florida Power and Light Company's 13 Turkey Point Nuclear Plant located south of Miami, 14 Florida.
15 MR. PAIGE: All right, thank you. Are 16 there any other such as members of the public on the 17 phone?
18 MR. INSANGER: My name is Paul Insanger 19 and I'm a member of the public.
20 MR. DORSCHNER: John Sorschner, Miami 21 Herald.
22 MR. PAIGE: All right, thank you.
23 MR. HOFFMAN: And David Hoffman, a member 24 of the public.
25
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(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 7
MR. PAIGE: All right, thank you. How 1
about any other members? Okay, continuing on, I'd 2
like to emphasize that we each need to speak clearly 3
and loudly to make sure that the Court Reporter can 4
accurately describe -- transcribe this meeting. If 5
you do have something that you would like to say, 6
please first, state your name for the record.
7 At this time, I'll turn it over to the PRB 8
Chairman, Tim McGinty.
9 MR. McGINTY: Thanks, Jason. Good 10 afternoon, welcome to this meeting regarding the 2.206 11 Petition submitted by Mr.. Thomas Saporito. I'd first 12 like to share some background on our process. Section 13 2.206 of Title 10 of the Code of Federal Regulations 14 describes the petition process, the primary mechanism 15 for the public to request enforcement action by the 16 NRC in a public process. This process permits anyone 17 to petition NRC to take enforcement type action 18 related to NRC licensees or license activities.
19 Depending on the results of its 20 evaluation, NRC could modify, suspend or revoke an NRC 21 issued license or take any other appropriate 22 enforcement action to resolve a problem. The NRC's 23 staff's guidance from the disposition of 2.206 24 Petition request is in Management Directive 8.11 which 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 8
is probably available.
1 The purpose of today's meeting is to give 2
the Petitioner an opportunity to provide any 3
additional explanation or support for the petition 4
before the Petition Review Board's initial 5
consideration and recommendation. This meeting is not 6
a hearing, nor is it an opportunity for the Petitioner 7
to question or examine the PRB on the merits or the 8
issues presented in the petition request. No 9
decisions regarding the merits of this petition will 10 be made at this meeting.
11 Following this
- meeting, the Petition 12 Review Board will conduct its internal deliberation.
13 The outcome of this internal meeting will be discussed 14 with the Petitioner. The Petition Review Board 15 typically consists of a Chairman, usually a Manager of 16 the Senior Executive Service level at the NRC. It 17 also has a Petitioner Manager and a PRB Coordinator.
18 Other members are the Board are determined by the NRC 19 staff based on the content of the information in the 20 petition request.
21 Therefore, at this time, I'd like to 22 introduce the Board. I'm Tim McGinty, the Petition 23 Review Board Chairman. Jason Paige is the Petition 24 Manager for the Petition under discussion today.
25
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Tanya Mensah is the Office's PRB, Petition Review 1
Board Coordinator. Audrey Klett is the Office of 2
Nuclear Reactor Regulation Technical Lead on Safety 3
Culture. Mr.. Marvin Sykes, who you've also heard on 4
the line is the NRC's Region 2 representative. We 5
also obtain advice from our Office of General Counsel 6
and today represented by Jenny Longo. We also have a 7
representative from the Office of Enforcement, Mr..
8 Ghasemian, who introduced himself earlier.
9 We also have a representative from the 10 Office of Investigations of the NRC, Mr.. Patrick 11 Jefferson, who you heard from earlier. I also -- the 12 PRB notified the NRC Office of the Inspector General 13 of the 2.206 PRB meeting today in consideration of 14 Mr.. Saporito's request that the OIG be in attendance.
15 OIG has requested a copy of the transcript of this 16 PRB meeting and we will be providing that.
17 As discussed in our process, the NRC staff 18 may ask clarifying questions in order to better 19 understand the Petitioner's presentation and to reach 20 a reasoned decision whether to accept or reject the 21 Petitioner's request for review under the 2.206 22 process. Florida Power and Light, the licensee for 23 Turkey Point has been invited to this meeting. They 24 are on the line and will be afforded an opportunity to 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 10 ask clarifying questions of the Petitioner. For 1
clarification, the licensee is not part of the 2
decision making process for the NRC's review of 2.206 3
petitions. We invite the licensee so that they are 4
aware of requests for action against their facility 5
and provide an opportunity to ask any questions so 6
that they may understand the details pertaining to 7
their facility.
8 At this point, I'd like to summarize the 9
scope of the Petition under consideration and the NRC 10 activities to date. On January 11th, 2009, Mr..
11 Thomas Saporito submitted to the NRC a Petition under 12 2.206 regarding concerns with Turkey Point's Employee 13 Concerns Program. The acronym ECP will be used in the 14 future regarding that. In this petition request, Mr..
15 Saporito identified the following areas of concern.
16 Number one, request for issuance for an NOVCP, a 17 Notice of Violation of Civil Penalty for one million 18 dollars. Number two, request that the NRC issue a 19 confirmatory order modifying the Florida Power and 20 Light license to impose requirements for safety 21 culture assessments, ratings of supervisors and 22 managers by employees, training programs for all 23 supervisor and managers on safety conscious work 24 environment and the employee protection rule.
25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 11 And the licensee shall inform all 1
employees of the confirmatory order and their rights 2
to raise safety concerns. The proffered basis for the 3
two requests are that the licensee did a self-4 assessment of its ECP which identified weaknesses and 5
areas for improvement in the ECP, that the NRC has 6
issues two NOVs, Notices of Violations for violations 7
of the Employee Protection Rule and that PFL has a 20-8 year history of retaliatory action.
9 Allow me to discuss the NRC activity to 10 date. The NRR Petition Review Board has not met 11 internally to make an initial recommendation of the 12 2.206 petition. Following the conclusion of today's 13
- call, the Petition Review Board will convene 14 internally to make an initial recommendation. You 15 will be informed of the initial recommendation.
16 As a
reminder for all the phone 17 participants, please identify yourselves if you make 18 any remarks as this will help us in the preparation of 19 the meeting transcript that will be made publically 20 available. Thank you. With that, said, Mr..
21 Saporito, I'll turn it over to you to provide any 22 information you believe the PRB should consider as 23 part of this petition.
24 MR. SAPORITO: Thank you, Mr.. Chairman 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 12 and my thanks go to the entire PRB for this 1
opportunity to allow the public to take part in this 2
important process, the process of regulating nuclear 3
power operations within the United States of America.
4 I would like to begin by redressing the comments made 5
with respect to my request for representation by the 6
Nuclear Regulatory Commission's Office of the 7
Inspector General. I specifically requested that 8
representation and I guess we'll have it through the 9
transcripts of this meeting being forwarded to that 10 office.
11 I requested that because the NRC, the 12 Nuclear Regulatory Commission, is mandated by the 13 United States Congress to unsure for the health and 14 safety of the general public with respect to the 15 operations of commercial nuclear reactors within the 16 continental United States. And in my opinion, the NRC 17 has failed to provide that measure of protection for 18 public health and safety with respect to operations of 19 Florida Power and Light Company's Turkey Point Nuclear 20 Power Plant. Insofar as the work environment at 21 Turkey Point Nuclear Power Plant, it's a very hostile, 22 retaliatory environment for those nuclear workers who 23 raise safety complaints.
24 And on that basis, the NRC is required, 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 13 under law, to actively investigate and prosecute 1
claims of retaliatory conduct by Florida Power and 2
Light against its nuclear workforce at the Turkey 3
Point Nuclear Plant and those laws are formulated by 4
NRC regulation under the Code of Federal Regulations 5
10 CFR 50.7 and other similar regulations. In 6
particular Regulation 10 CFR 50.7 strictly prohibits 7
any retaliatory conduct by FPL management for -- taken 8
against any nuclear worker who raises a safety 9
complaint to FPL managers, to the United States 10 Nuclear Regulatory Commission or to the media.
11 The -- I guess the method of operation, if 12 you will, of the United States Nuclear Regulatory 13 Commission has been for years to take a wait-and-see 14 attitude approach to complaints of retaliatory conduct 15 by licensees line Florida Power and Light Company. In 16 other words, if a nuclear worker raises a safety 17 complaint and is ultimately fired, or somehow else 18 retaliated against for raising that safety complaint, 19 their only recourse is to file a
- lawsuit, a
20 whistleblower lawsuit with the United States 21 Department of Labor and that comes under the Energy 22 Reorganization Act of 1974 which is CODA 542 USCA 23 5851.
24 That's a very lengthy process. It can 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 14 entail years of litigation and it -- you know, 1
usually, it's expense for the employee. The employee 2
is most likely subject to up-front costs of upwards of 3
10 to $15,000.00 to retain adequate counsel to 4
represent his or her interests. So the NRC, like I 5
said, earlier, takes a wait-and-see approach. They'll 6
say, "Well, you know, did the employee file a 7
whistleblower complaint with the Department of Labor?
8 The initial investigation is done with the 9
Occupational Safety and Health Administration, OSHA.
10 If the employee has filed such a complaint, then, NRC 11 does nothing. They sit back and they wait and they 12 look at all the pleadings and they're styled in the 13 case and they wait to see what the Administrative Law 14 Judge decides. They wait to see if the decision is 15 appealed to the Administrative Review Board who sits 16 in place of the United State Secretary of Labor in 17 adjudicating the case. Then they wait to see if the 18 ARB's decisions appeal to the 11th Circuit or the 19 applicable Circuit Court of the United States. Then 20 they wait and see if that's appealed to the United 21 States Supreme Court.
22 So you could have retaliation go on for 23 years and years and years at these nuclear plants 24 without any redress by the Nuclear Regulatory 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 15 Commission and that's why the NRC Office of the 1
Inspector General need to intervene and they need to 2
intervene immediately. They need to insure that the 3
applicable regions of the NRC around the United States 4
with requisite jurisdiction for their nuclear power 5
plants which they oversee that their Office of 6
Investigation immediately conducts investigations 7
before any complaint of retaliation by any nuclear --
8 or for any nuclear power plant in the United States.
9 You cannot sit back for years and years 10 and years and just watch another agency do your job 11 for you and on the basis of what may come from a Labor 12 decision and use that as a basis to whether you're 13 going to make an adjudication whether there's a 14 nuclear safety violation with respect to 10 CFR 50.7.
15 It just doesn't make any sense and it's not -- it 16 does not meet the spirit of the law which Congress 17 intended when they passed the Energy Organization Act 18 which created the agency which we now call the United 19 States Nuclear Regulatory Commission.
20 All
- right, having said
- that, I
21 respectfully request on the record that the OIG, 22 Office of Inspector General, meet with me as soon as 23 reasonably possible so that I can provide them first-24 hand information and knowledge that I'm aware of 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 16 regarding violations of NRC requirements with respect 1
to Florida Power and Light Company's retaliation 2
against nuclear workers at the Turkey Point Nuclear 3
Power Plant and at the St. Lucie Nuclear Power Plant.
4 So I want that on the record that I'm making this 5
official request for their intervention and for them 6
to personally meet with me.
7 All right, I'm going to move on now.
8 There were several documents I had given to Mr.. Paige 9
and I had asked him to provide to the PRB. Has the 10 PRB been provided those documents?
11 MR. PAIGE: They were provided with those 12 documents?
13 MR. SAPORITO: Okay, thank you very much 14 for your help on that. The petition, as the Chairman 15 had outlined, is centered on employees raising safety 16 concerns at the Turkey Point Nuclear Plant and unless 17 you want an individual, a nuclear worker raise safety 18 concerns at a nuclear power plant and been retaliated 19 against, you have -- you do not have a requisite 20 understanding of what happens to that employee and 21 before I get into the specifics of this petition, I 22 want to just give the Petition Review Board a brief 23 history of myself.
24 I worked for Florida Power and Light 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 17 Company back in 1988. I worked at the Turkey Point 1
Nuclear Power Plant in 1988. I was an instrument 2
control technician. And we were -- in instrument 3
control technician, along with the license plant 4
operators are the heart of any nuclear power plant 5
because we deal with all the functioning 6
instrumentation, pressure, temperature and flow and 7
all the indicators that the operator relies on in 8
operating the plant safely for the benefit of the 9
public.
10 Well, I raised safety concerns back then 11 in 1988 and they had an organization called INPO, the 12 Institute of Nuclear Plant Operators. I raised all my 13 safety concerns to management through my work orders 14 and I
was mainly complaining about procedure 15 violations and the like. And you have safety-related 16 procedures. That's a safety concern because if you 17 violate a procedure and if it's a 10-step procedure, 18 you skip from step one to step eight, well, you know, 19 you could have not calibrated a piece of equipment 20 right. The operator is going to rely on your 21 calibration. You could cause a nuclear accident if 22 it's not correct. So that's a very important concern.
23 Management failed to address it. I went 24 to INPO, who were on site at the time. No action was 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 18 taken. I ultimately went to the United States Nuclear 1
Regulatory with my concerns. Management was well-2 aware of all of these actions and throughout that 3
seven or eight-month period of time, in 1988 they 4
accused me of, you know, abusing my sick leave and 5
they said, "Oh, you made a racial slur". And then 6
they tried disciplining me on poor performance. All 7
these measures failed because they were all untrue.
8 It got to the point, to the very end of 9
that year in late November when the site Vice 10 President ordered me to a high level management 11 meeting and ordered me to tell him what my safety 12 concerns were and I said, "I already told the NRC".
13 And I refused to divulge them to him, in them days 14 those people knew the whole time. Anyway, a week 15 later, I have this -- we had been working seven days a 16 week, 10, 12 hours1.388889e-4 days <br />0.00333 hours <br />1.984127e-5 weeks <br />4.566e-6 months <br /> a week, during and outage and I'd 17 been, you know, harassed and retaliated against for 18 eight months and I was feeling very sick. And the, 19 Odom, the Vice President of the company for that plant 20 orders his maintenance superintendent, for me to come 21 to his office because he wanted to ask me about these 22 safety concerns again and I said, "I'm sick, I'm going 23 home. I've been here all day".
24 So they suspended my employment and then I 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 19 go to a doctor and I get diagnosed with severe 1
gastritis and pending ulcer because of all this abuse 2
I've been and stress I had been under there from them.
3 I come back to work and then Odom orders me to see a 4
company doctor to see if I'm fit for duty to come work 5
at their nuclear plant after all that, after my doctor 6
had already cleared me to come back to work.
7 Well, of course, I filed a whistleblower 8
complaint. The matter went to court and the -- and it 9
went back -- initially, that was ruled in my favor by 10 the Secretary of Labor. And then it went back to 11 court. You know, FPL has all the money and all the 12 high powered attorneys. They eventually won out 13 because, you know, I eventually got divorced. They 14 fired me three days before Christmas and I ended up 15 after subsequently getting divorced after all that, 16 and you don't have any money.
17 And you're trying to find jobs in the 18 nuclear field and then you got FPL haunting you 19 throughout your career from that action. But the 20 point is when you read the 2.206 and then you -- the 21 PRB is going to eventually get responses from the 22 licensee, Florida Power and Light management, you have 23 to understand that Florida Power and Light is a very 24 disingenuous company. Their responses are not -- you 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 20 can't believe them on their face. When the Secretary 1
of Labor reviewed my particular case, he ruled that 2
Odom's testimony under oath was disingenuous because 3
Odom knew that I had went to the NRC and Odom didn't 4
have to have those safety concerns because he knew the 5
NRC was taking care of them and that there was no 6
immediate safety concern. Odom had personally called 7
Region 1 and talked to George Jenkins. He talked to 8
Oscar DeMiranda, Jenkins was the Director of 9
Enforcement at the time and I think DeMiranda still 10 works out there. He's one of the allegation 11 coordinators. So he knew when he called me to those 12 meetings that I'd had no immediate safety concerns, 13 but yet he went to court and said, oh, he had to know 14 what that information was and because I refused to 15 tell him, that was insubordination.
16 That was one reason they fired me. The 17 second reason was because a week later they tried to 18 call me in to a meeting again to get the same safety 19 concerns and I again, refused to meet with them about 20 my safety concerns. That was reason two for firing me 21 and the third reason for firing me was because I 22 refused to be examined by a company doctor to find out 23 if I was able to work at their nuclear power plant.
24 But do you know what happened, when we went to court, 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 21 Odom testified under oath that if I had not raised any 1
safety complaints at Turkey Point in 1988, he would 2
have no reason to fire me. That's what he testified 3
to under oath and then he testified that he fired me 4
before he ordered me to go to the company doctor 5
because in his mind, surmised I would refuse to be 6
examined, so his reasons for firing me are all illegal 7
and yet, you know, this is what 22 years later, more 8
than that, over 20 years later FPL still wins and so 9
in all this time, all of this 20 something years, the 10 NRC did nothing, the NRC Office of Investigation never 11 conducted a 50.7 investigation, never, and they just 12 waited and waited year after year after year after 13 year after year for all this litigation.
14 I took it all the way to the United States 15 Supreme Court and, of course, a pro se litigant, it's 16 very hard to get recognized up there, especially under 17 the Bush Administration. Nonetheless, you need to 18 understand that perspective. This is what an employee 19 goes through and this is why it's so important for the 20 NRC to take the lead in conducting 10 CFR 50.7 21 investigations well
- ahead, well ahead of the 22 Department of Labor process. And as a point of 23 reference, when I left Florida Power and Light, when 24 they fired me, I worked South Texas Nuclear Power 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 22 Plant and I raised safety concerns there and I got 1
fired there as a contractor for raising safety 2
concerns and yeah, I filed a whistleblower complaint 3
but what happened different there was the NRC 4
investigated. The NRC OI was on top of that and they 5
found that they illegally fired me in retaliation of 6
my safety complaints. I went to court and prosecuted 7
them from the highest level down and days before the 8
ALJ was going to rule, they settled that case.
9 And so what happened
- was, the NRC 10 initially proposed a $100,000.00 penalty because their 11 own Office of Investigations found they had illegally 12 retaliated but because the utility settled, they 13 withdrew the penalty, they withdrew the violation like 14 it never happened. That sends an incredibly wrong 15 message to all my coworkers at the South Texas Nuclear 16 Power Plant. I just -- it's there at least to confuse 17 a most reasonable individual of what -- were they 18 protected, were they not protected? Did they do 19 something wrong to Saporito or didn't they? I mean, 20 the NRC said they did and they fine them $100,000.00 21 and then you know, several months later they said, 22 "Well, you know, we were going to withdraw that 23 penalty", and they really didn't do anything.
24 It's just a mess and then all this has 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 23 continued since the inception of the United States 1
Nuclear Regulatory through the Energy Reorganization 2
Act of 1974. It's just gotten worse and worse and 3
worse. And here we are a country dependent on foreign 4
oil. Thank God, Barack Obama got elected as President 5
and he's going to decrease our dependence on foreign 6
oil but in the interim, the NRC is rubber-stamping all 7
these new nuclear power plants around the United 8
States.
9 Turkey Point wants to build two more 10 nuclear plants down here. They can't even effectively 11 manage the two they have, but they want to build two 12 more and the NRC is in the process of rubber stamping 13 those applications. Crystal River wants to put a 14 couple more nuclear plants out there. Well, I think 15 before we do all this rubber-stamping of authorization 16 of new plants, we need to take a hard look of is the 17 NRC effectively insuring for the health and protection 18 of the public by making these utilities foster work 19 environments which give the nuclear worker an 20 unfettered right to raise safety complaints without 21 any fear of retaliation.
22 So that's why the Inspector General needs 23 to act and they need act fast. With respect to this 24 2.206 petition, I request that a million dollar 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 24 penalty. You know, it probably should be upwards of 1
$100 million so they get the point. A million dollars 2
is nothing to this utility. Each reactor brings them 3
revenues of a million dollars a day and as we get into 4
this, you'll see how important that revenue is to the 5
utility in silencing the workforce at Turkey Point.
6 But the gist and the bottom line of this 7
2.206 is to get the NRC to act in issuing a 8
confirmatory
- order, ordering FPL to hire an 9
independent contractor to come and evaluate the work 10 environment at Turkey Point Nuclear Plant and only 11 through an independent
- agency, someone that's 12 independent of the government and independent of FP&L 13 can the NRC get a true assessment of what the 14 conditions are at the plant. Now, the utility has 15 over the years done self-assessments and I want to get 16 into those but before I do, I want to go back. I want 17 to go back to the issue of credibility of the licensee 18 and in this case it's the Florida Power and Light 19 Company. Their credibility is called into question 20 significantly here.
21 And PRB needs to first determine the 22 credibility of their licensee before they can take any 23 of the responses to this 2.206 in any measure of 24 earnesty. And right now for the PRB to refer to the 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 25 document that's dated November 24th, 2008 on the cover 1
sheet. It's from the State of Florida Office of 2
Public Counsel, on the second page it's entitled 3
"Citizens Brief on Issue 13C". I'll give you a few 4
minutes to get that in front of you because I want to 5
touch on that briefly.
6 MR. McGINTY: Sir, are we ready? Could 7
you again tell us exactly what the title of the 8
document is?
9 MR. SAPORITO: Yes, sir, on the cover 10 sheet it has the State of Florida, Office of Public 11 Counsel. On the left-hand corner, it's Jeff Atwater, 12 President of the Senate and underneath that is the 13 seal for the State of Florida and underneath that is 14 J.R. Kelly Public Counsel.
15 MR. McGINTY: Okay, at this point in time, 16 we do not have that document in front of us. I would 17 appreciate it if you would please walk us through it.
18 MR. SAPORITO: Okay, because I sent you 19 all these documents several days ago.
20 MR.
McGINTY:
Did you send it 21 electronically or by --
22 MR. SAPORITO: Yes, through in your e-23 mail.
24 MR. McGINTY: And to whom, please?
25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 26 MR. SAPORITO: To you.
1 MR. McGINTY: To Jason Paige?
2 MR. SAPORITO: You and I copied several 3
branches of the United States NRC.
4 MR. McGINTY: Okay, this is Tim McGinty, 5
the PRB Chair.
6 MR. SAPORITO: Oh, I thought you were Mr..
7 Paige, I'm sorry.
8 MR. McGINTY: I'm trying to be clear about 9
that. So you sent it to Jason Paige?
10 MR. SAPORITO: Yes, sir, Jason Paige. I'm 11 sorry, you sound like him.
12 MR. McGINTY: All right, stand by one 13 second, please.
14 MR. SAPORITO: All right.
15 MR.
McGINTY:
Dated November
- 24th, 16 identified as Ann Cole as the Commission Clerk?
17 MR. SAPORITO: Yes.
18 MR. McGINTY: Okay, yes, we have a copy of 19 that.
20 MR. SAPORITO: Okay, are you prepared for 21 my review at this time?
22 MR. McGINTY: Yes.
23 MR. SAPORITO: Okay, if you turn -- flip 24 that first cover page and this next page is entitled 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 27 "Citizen's Brief on Issue 13". This is a pleading 1
that was filed by the attorneys representing the 2
public before the State of Florida's Public Service 3
Commission regarding a rate case. It's actually a 4
fuel and purchase power recovery case where FPL tries 5
to recoup some costs associated with operations of 6
their nuclear power plants.
7 And parts that I want to point out here, 8
it says here on this first page, it talks about 9
Florida Power and Light granting unescorted access to 10 an individual, he was a contractor, who later 11 vandalized the plant. He vandalized the plant by 12 drawing a one-inch deep hole in I believe it was a 13 pressurizer loop, but it goes on to say in the center 14 of the first paragraph on that page, it says, "In 15 sworn testimony, FPL assured the Commission," being 16 the Public Service Commission in this case, "that 17 prior to his being granted unescorted
- access, 18 unescorted nuclear plant access, the individual was, 19 quote `subject to and successfully completed FPL's 20 rigorous access and fitness for duty screening 21 process', unquote."
22 And then it talks about the sworn 23 testimony describes several steps of the screening 24 process and concluded that quote "failure to 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 28 successfully complete any of these steps will result 1
in the individual being denied unescorted access to 2
FPL's nuclear facilities", end quote. And the Counsel 3
urges, it says, "The sworn testimony did not even hint 4
that the vandal's application", the vandal being the 5
guy that drilled the hole, "that the vandal's 6
application may have shown any red flags for potential 7
problems. FPL contends that nothing possible could 8
have been foreseen". That was the licensee's 9
contention before the Commission.
10 However, Friday, the Friday before the 11 hearing, the public hearing was held in Tallahassee, 12 FLP produced a document that the utility received 13 approximately one month earlier and the document was 14 field notes written by an FBI agent who was assigned 15 to investigate that particular case. If you'll turn 16 to the next page at the very top, it talks about that 17 the questionnaire was completed as part of the 18 vandal's screening process and this is -- we're 19 talking about the screening process for the Turkey 20 Point Nuclear Plant. And that Defendant's screening 21 process and has been in the possession of FP&L since 22 February of 2006. Okay, FP&L had this document two 23 years earlier and they withheld it from the Public 24 Service Commission and from the attorneys representing 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 29 the public in this matter and from the Public Service 1
Commission staff. For two years they had this 2
document. FPL, however, chose not to present the 3
questionnaire to the Commission. The field notes 4
paint a strikingly different picture of the relevant 5
information on the vandal, about the vandal which FPL 6
had in its possession when it granted unescorted 7
nuclear plant access.
8 And if you'll skip down to the next 9
paragraph it says, "While assuring the Commission that 10 the individual had been rigorously screened, FPL's 11 sworn testimony never even mentioned that there 12 existed anything on the questionnaire that could 13 possibly call the individual's background into 14 question." And it talks about, "Instead FLP cited all 15 the areas that the vandal had been screened and 16 passed", and they stated that, "The process required 17 him to successfully complete an FBI criminal history 18 verification with no disqualifying criminal background 19 and to successfully complete drug and alcohol 20 screening."
21 Then the public argues that, "As we know, 22 however, the vandal had been arrested in 1999, 23 reckless -- criminal recklessness, criminal mischief 24 charges, 1990 driving under the influence, 1991 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 30 discharging a
firearm in
- public, 1989, public 1
intoxication, 1989, reckless driving" and the vandal 2
responded yes, on FPL's questionnaire, "Have you ever 3
used or sold illegal drugs"? And finally, FPL's sworn 4
testimony assured the Commission that the vandal, 5
quote, "passed a rigorous psychological examination 6
consisting of nearly 600 questions with the responses 7
screened for psychological stability and other 8
characteristics. As required individuals may be 9
subject to further psychological review, including 10 interviews by a licensed psychologist.
11 The FBI field notes however, indicated 12 that the individual quote `failed his psychological 13 test', unquote, but, quote, `received clearance from 14 the physician in order to gain plant access',
15 unquote". Now, you have the licensee, Florida Power 16 and Light Company, putting on licensing managers, 17 managers that work for the licensee, in a court of law 18 to so speak, before the Public Service Commission, 19 where they're sworn under oath to tell the truth and 20 this is what you get. You get these mistruths. You 21 get evasions by their attorneys trying to paint a 22 picture that you know, we met all the NRC regulations 23 when we gave this guy plant access, and so it's not 24 our fault. You know, the public should have to pay 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 31 the $6 million. It's not our fault, but when the 1
reality comes out, the licensee withheld relevant, 2
material and damming evidence which shows otherwise.
3 It shows that there was all kinds of flags, red flags 4
for the licensee not to grant this individual 5
unescorted access to Turkey Point Nuclear Plant.
6 They put this witness on, Mr.. Jones, and 7
his explanation to the FBI report, et cetera, et 8
cetera, that well, you know, he never actually looked 9
at the vandal's questionnaire but instead he based his 10 sworn testimony on insurances from Mr.. Bomthron.
11 It's spelled B as in Baker, o-m-t-h-r-o-n. So he 12 says, the attorney is saying the problem facing the 13 Commission is that Mr.. Jones did not examine the 14 vandal's questionnaire to date but he continues to 15 base his representations to the Commission on 16 representations of the same made by Mr.. Bomthron, who 17 apparently led Mr.. Jones to believe there was no 18 reason to disclose to the Commission all of the red 19 flags appearing on the vandal's security 20 questionnaire. So this is totally outrageous. You've 21 got a licensee individual for Turkey Point, this guy 22 Bomthron who's coaching a Mr.. Jones who is going to 23 testify under oath about the licensee's conduct in 24 allowing a contractor to work at that nuclear power 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 32 plant, a contractor who should never have been granted 1
unescorted access to that nuclear power plant.
2 So these are the deceptions, okay, the 3
disingenuousness of the licensee that we're talking 4
about here, the Florida Power and Light Company. What 5
their attorneys do in courts of law and especially in 6
whistleblower
- cases, is to try to evade 7
accountability. If you'll turn to page 12 of that 8
same document on the second paragraph down, the 9
attorney goes on, he says, "This revelation raises the 10 issue of the adequacy of FPL's training of workers 11 with access to nuclear power plants. Workers with 12 this access must be thoroughly trained in the 13 importance of reporting anything that could possibly 14 be a concern. The failure of the coworker to report 15 this incident" -- I'm sorry, I need to back you up to 16 page 11. I got head of myself.
17 MR. McGINTY: Mr.. Saporito?
18 MR. SAPORITO: Yes, sir.
19 MR. McGINTY: This is Tim McGinty, the PRB 20 Chair. I just want to make sure that you understand 21 that this meeting is scheduled for an hour. We also 22 have, as part of the meeting, there's opportunities 23 for others to ask questions. We really -- you only 24 have at this stage, I would say about five more 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 33 minutes to provide the information that concludes your 1
presentation of any information you believe the PRB 2
should consider as part of the petition. I wanted to 3
call that to your attention.
4 MR. SAPORITO: Well, let me call to your 5
attention that I have an e-mail in front of me from Mr 6
Paige showing me I would be given at least an hour and 7
my understanding of regulations that provide for this 8
opportunity for the public's participation in 2.206 9
process there is no limitations on time. So if we 10 need to reconvene, we can certainly do that but you're 11 not going to hold me to five minutes. I have much 12 more to say here on this petition, sir.
13 MR. PAIGE: In the e-mail I sent to you, 14 it was a follow-up e-mail confirming the call today, I 15 specifically said 40 minutes for your presentation.
16 MR. SAPORITO: Okay, I'm not confined to 17 40 minutes, number one. And number two, with all the 18 introductions and identifications and the 19 announcements took place, you stuffed the majority of 20 my 40 minutes in my opinion if that's the 40 minutes 21 you're talking about.
22 MR. McGINTY: Well, actually, we're pretty 23 much right on schedule according to what Mr. Paige 24 transmitted in terms of the timeliness. Again, we 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 34 really shouldn't -- I'd like you to get to the 1
information that you need for the PRB to consider. We 2
only have a few -- we have a few more minutes left.
3 We have several folks that have other competing 4
priorities. We're going to have to terminate the call 5
at 2:00 o'clock any way that you cut it.
6 MS. LONGO: Mr. Saporito, you need to 7
understand when this call was scheduled, it went 8
through a call center and they have a certain amount 9
of time blocked aside for it. They cannot keep the 10 line open indefinitely.
11 MR. SAPORITO: Well, that's fine. We can 12 reconvene when it's convenient for the agency. I 13 would urge that we reconvene as soon as possible, but 14 I have a lot more information to talk about and you 15 know, and I'm not going to be held to any four-minute 16 conference in the least part where the majority of 17 that time was taken up with introductions. The public 18 has a right to participate in these proceedings. It's 19 a right with no time limitations under the directives 20 that you've stated earlier in this meeting.
21 MR. McGINTY: If you want to provide 22 additional information after this meeting, then please 23 provide it in writing to us. The extent of this 24 meeting has been clearly conveyed.
25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 35 MR. SAPORITO: Well, I -- well, I take 1
exception to that, number one. I think the public 2
process has to be when were I can talk to the PRB 3
because I need to convey certain information which 4
would not otherwise come across in the manner it needs 5
to in writing.
6 MR. McGINTY: You've been doing it for 40 7
minutes.
8 MR. SAPORITO: I need to -- if we need to 9
reschedule, then let's reschedule, but --
10 MR. McGINTY: If you have additional 11 information, please provide it in writing to us. You 12 can send it directly to --
13 MR. SAPORITO: No, I take exception to 14 that. I'm requesting on this public record an 15 opportunity to reconvene with the PRB with sufficient 16 time that I can address the rest of my concerns. This 17 is a matter of public health and safety and on that 18 basis, I express the urge to the agency to comply with 19 its own rules.
20 MR. McGINTY: Mr. Saporito, there is 21 another opportunity in accordance with the process 22 after the PRB meets to consider the information that 23 you've provided and have come to our initial 24 recommendation to address the Board and you'll have 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 36 that opportunity again.
1 MR. SAPORITO: Well, how is the Board 2
going to make any relative meaningful decisions on the 3
first viewing of this information if they don't have 4
all the information in front of them? They don't have 5
all my comments. They don't have all my concerns and 6
yet you're going to have them do a preliminary 7
evaluation and then --
8 MR. McGINTY: Like I said, please forward 9
your concerns in writing and we'll have all that 10 information before us.
11 MR. SAPORITO: Let the record reflect, I 12 will forward my concerns in writing to the Office of 13 the Inspector General urging the Inspector General to 14 investigate the NRC and forcing the public's interest 15 in public health and safety by denying me an 16 opportunity to participate in this process as required 17 by the NRC's own regulations. That's what you'll get 18 in writing.
19 MR. McGINTY: That's fine. So to that --
20 at this point in time, recognizing that you are going 21 to provide additional information in writing, does 22 that conclude your presentation at this point in time 23 with respect to information that you're providing to 24 the PRB related to your petition?
25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 37 MR. SAPORITO: No, and I object to your 1
mischaracterization of what I just said. I did not 2
agree to provide the NRC -- PRB with any additional 3
information. What I said on the record that was going 4
to file a complaint with the Office of Inspector 5
General, the NRC Office of the Inspector General, with 6
a complaint to President Barack Obama's Office of 7
Professional Responsibility to see why the NRC doesn't 8
want to allow public health and safety concerns to be 9
raised in this 2.206 process as the regulations 10 require.
11 MR. McGINTY: I understand that and again, 12 I will reiterate that we will gladly accept any 13 additional information after this meeting that you 14 provide in writing and also that you will have another 15 opportunity to address the PRB after we've made our 16 initial recommendation. So at this time, I'm going to 17 ask any staff here at headquarters whether you have 18 any questions of Mr. Saporito.
19 We also, Mr. Sykes in the Region, do you 20 have any questions of Mr. Saporito?
21 MR. SYKES: No, I don't.
22 MR. McGINTY: Does the licensee have any 23 questions of Mr. Saporito?
24 MR. BLAIR: No, no, we don't.
25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 38 MR. McGINTY: Does any of the staff here 1
at headquarters have any questions for the licensee?
2 MS. LONGO: Yes, this is Jenny Longo. I'd 3
like to ask the licensee to provide a copy of the 4
bonus agreements mentioned in this article by Mr.
5 Dorschner at the Miami Herald saying that many signed 6
bonus agreements have a clause in which the individual 7
promises not to -- any time refuse to make any 8
statements that may be derogatory, detrimental to the 9
company's good name. Can we have a copy, please, of 10 your standard bonus agreement?
11 MR. BLAIR: Ms. Longo, this is Bill Blair, 12 Florida Power and Light. As I understand your 13 request, we view that to be outside the scope of the 14 2.206 petition. If you don't or if you do, please put 15 your request in writing and we will respond to it 16 appropriately.
17 MS. LONGO: Actually, this is within the 18 scope.
19 MR. BLAIR: Okay, thank you. Then put 20 your request in writing and we'll be happy to respond 21 to it.
22 MS. LONGO: Mr. Blair, I'm sorry, Mr.
23 Saporito submitted an article by Mr. Dorschner and 24 this was part of his petition which he claims that a 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 39 safety culture problem in which people are being 1
chilled from saying anything -- raising concerns 2
because people are signing these bonus agreements in 3
which they promise not to make any derogatory 4
statements. Are you willing to provide a copy of 5
those bonus -- an unsigned copy. I'm not asking you 6
to submit a copy of one signed by somebody. I just 7
want to see the form.
8 MR. BLAIR: Ms. Longo, absolutely. I said 9
that I would if you put your request in writing. The 10 fact that Mr. Saporito includes a newspaper article as 11 one of his sources doesn't strike me as particularly 12 persuasive but if you find it and you want to 13 investigate it, all we ask is that you make that 14 request in writing and we'll respond appropriately.
15 MS. LONGO: The staff and I'd like to see 16 it. Are you saying that there's no such form?
17 MR. BLAIR: I'll ask that you put your 18 request in writing and I agree that we would respond 19 appropriately.
20 MS. LONGO: Are you saying that there's no 21 such form?
22 MR. BLAIR: I am not saying there is no 23 such form. There is an agreement that is entered into 24 between the company and recipients of retention bonus 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 40 agreements. And if you request it in writing, I will 1
send it to you.
2 MS. LONGO: Well, I'm going to have to ask 3
you to supply a name and address and telephone number 4
if we make that request.
5 MR. BLAIR: Certainly. My name is William 6
S. as in Stuart Blair, B-l-a-I-r. Florida Power and 7
Light Company, 700 Universe Boulevard, U-n-I-v-e-r-s-8 e, Boulevard, Juno Beach, Florida, J-u-n-o, B-e-a-c-h, 9
Florida and the zip code is 33408.
10 MS. LONGO: Thank you.
11 MR. McGINTY: This is Tim McGinty once 12 again, the PRB Chair. Before I conclude the meeting, 13 member of the public may also provide comments 14 regarding the petition and ask questions about the 15 2.206 petition process. As I stated at the opening, 16 however, the purpose of this meeting is not to provide 17 an opportunity for the Petitioner or the public to 18 question or examine the PRB regarding the merits of 19 the petition request. Do any of the members of the 20 public have any questions?
21 (No response) 22 MR. McGINTY: Okay, with that said, Mr.
23 Saporito, I'd like to thank you for taking the time to 24 provide the NRC with clarifying information on the 25
NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.
(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 41 petition you've submitted. I would also, again, 1
invite you to provide any additional information that 2
you have in writing and we will have an opportunity to 3
discuss the information that you provide again 4
subsequently after the PRB has met to make an initial 5
recommendation. With that this --
6 MR. SAPORITO: Okay, I would like to ask 7
Mr. Paige to e-mail me the address where he wants 8
additional information so I can forward him these 9
other documents, these other complaints which will 10 include documents that you're requesting. So if he 11 would e-mail me an address, I'll be sure that you get 12 the documents that you need to have.
13 MR. PAIGE: Okay, I'll go ahead and do 14 that.
15 MR. McGINTY: We will do that. So thank 16 you very much. With that, the meeting is concluded 17 and we'll be terminating the phone connection. Hold 18 on one second.
19 (Whereupon, at 1:57 p.m., the above-20 entitled matter concluded.)
21 22 23 24 25