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Category:Legal-Notice of Appearance
MONTHYEARML0934504932009-12-11011 December 2009 Notice of Appearance of Scott A. Vance on Behalf of the Tennessee Valley Authority, Watts Bar, Unit 2 ML0933405762009-11-30030 November 2009 Notice of Appearance of Christopher C. Chandler on Behalf of Tennessee Valley Authority Regarding Watts Bar, Unit 2 ML0917004022009-06-19019 June 2009 Notice of Appearance of David E. Roth on Behal of the NRC Staff in the Matter of TVA ML0426403002004-09-20020 September 2004 Tennessee Valley Authority - Notice of Appearance for Sara Mcandrew on Behalf of the NRC Staff ML0309005862003-03-31031 March 2003 Tennessee Valley Authority - Notice of Withdrawal of Jennifer M. Euchner ML0211307032002-04-19019 April 2002 Tennessee Valley Authority (TVA) - Notice of Withdrawal for Susan S. Chidakel ML0205805382002-01-25025 January 2002 Notices of Appearance of Edward J. Vigluicci, Harriet A. Cooper, David A. Repka and Kathryn M. Sutton on Behalf of Tennessee Valley Authority 2009-06-19
[Table view] Category:Legal-Pleading
MONTHYEARML21287A6592021-10-14014 October 2021 Notice of Withdrawal of Samuel Reeves Lehman on Behalf of Tennessee Valley Authority ML21070A3612021-03-11011 March 2021 NRC Staff Answer to the Tennessee Valley Authority'S Motion Regarding Disclosures ML15173A0332015-06-22022 June 2015 Southern Alliance for Clean Energy'S Reply to Oppositions to Petition for Review of LBP-15-14 Denying Admission of a New Contention Concerning Tva'S Failure to Comply with 10 C.F.R. Section 5.34(b)(4) ML15163A2142015-06-12012 June 2015 Tennessee Valley Authority'S Answer Opposing Southern Alliance for Clean Energy'S Petition for Review of LBP-15-14 ML15163A1452015-06-12012 June 2015 NRC Staff Answer Opposing the Southern Alliance for Clean Energy Petition for Review of Board Decision LBP-15-14 ML15138A4522015-05-18018 May 2015 Sace Petition for Review of LBP-15-14 ML15127A2512015-05-0707 May 2015 Reply by Beyond Nuclear, Blue Ridge Environmental Defense League, Nuclear Information and Resource Service, Seed Coalition and Southern Alliance for Clean Energy to Oppositions by Applicants and NRC Staff to Motions to Admit New Contentions ML15126A3832015-05-0606 May 2015 Reply by Beyond Nuclear, Blue Ridge Environmental Defense League, Nuclear Information and Resource Service, Seed Coalition and Southern Alliance for Clean Energy to Oppositions by Applicants and NRC Staff to Motions to Admit New Contentions ML15126A4782015-05-0606 May 2015 Reply by Beyond Nuclear, Blue Ridge Environmental Defense League, Nuclear Information and Resource Service, Seed Coalition and Southern Alliance for Clean Energy to Oppositions by Applicants and NRC Staff to Motions to Admit New Contentions ML15121A4532015-05-0101 May 2015 NRC Staff Answer to Southern Alliance for Clean Energy'S Hearing Request and Petition to Intervene and Motion to Reopen the Record in the Operating License Proceeding for Watts Bar Unit 2 ML15121A7902015-05-0101 May 2015 TVA Answer to Sace Motions to Reopen and Admit a New Contention ML15111A3562015-04-21021 April 2015 Southern Alliance for Clean Energy'S Hearing Request and Petition to Intervene in Operating License Proceeding for Watts Bar Unit 2 Nuclear Power Plant ML15069A4922015-03-10010 March 2015 Southern Alliance for Clean Energy Reply to Oppositions to Motion for Leave to File a New Contention Concerning Tva'S Failure to Comply with 10 C.F.R. Section 50.34(b)(4) ML15062A3782015-03-0303 March 2015 Tennessee Valley Authority'S Answer Opposing Southern Alliance for Clean Energy'S Motion for Leave to File a New Contention ML15062A1142015-03-0303 March 2015 NRC Staff'S Answer to Southern Alliance for Clean Energy'S Motion for Leave to File a New Contention ML15049A6182015-02-18018 February 2015 Petitioners' Reply to Oppositions to Petition to Supplement Reactor-Specific Environmental Impact Statements to Incorporate by Reference the Generic Environmental Impact Statement for Continued Spent Fuel Storage ML15049A3652015-02-18018 February 2015 NRC Staff'S Answer to Southern Alliance for Clean Energy'S Motion to Reopen the Record ML15048A0612015-02-17017 February 2015 Tennessee Valley Authority'S Answer Opposing Southern Alliance for Clean Energy'S Motion to Reopen the Record ML15043A7792015-02-12012 February 2015 NRC Staff Opposition to Petition to Supplement Reactor-Specific Environmental Impact Statements to Incorporate by Reference the Generic Environmental Impact Statement for Continued Spent Fuel Storage ML15043A5572015-02-12012 February 2015 Tennessee Valley Authority'S Answer Opposing Petition to Supplement Reactor-Specific Environmental Impact Statements to Incorporate by Reference the Generic Environmental Impact Statement for Continued Spent Fuel Storage ML15037A5492015-02-0606 February 2015 Southern Alliance for Clean Energy'S Unopposed Motion to Permit Corrected Filing ML15037A3182015-02-0505 February 2015 Refiled Motion for New Contention and Motion to Reopen ML15028A1132015-01-28028 January 2015 Petition to Supplement Reactor-Specific Environmental Impact Statement Incorporate by Reference the Generic Environmental Impact Statement for Continued Spent Fuel Storage ML14311A9752014-11-0707 November 2014 Petitioners' and Intervenors' Consolidated Reply to Answer to Petitions to Suspend Final Reactor Licensing Decisions, Motions, to Admit a New Contention, and Motions to Reopen the Record ML14304A7652014-10-31031 October 2014 Tennessee Valley Authority'S Answer to Opposing Petition to Suspend Final Decisions in All Pending Reactor Licensing Proceeding Pending Issuance of Waste Confidence Safety Findings and Motions for Leave to File New Contention ML14304A7162014-10-31031 October 2014 Tennessee Valley Authority'S Answer Opposing Southern Alliance for Clean Energy'S Motion to Reopen the Record ML14304A6742014-10-31031 October 2014 Inc.'S Motion for Leave to File Amicus Curiae Brief ML14304A6682014-10-31031 October 2014 NRC Staff Consolidated Answer to Petitions to Suspend Final Reactor Licensing Decisions, Motions to Admit a New Contention and Motions to Reopen the Record ML14080A4582014-03-21021 March 2014 Tennessee Valley Authority'S Answer Opposing Petition to Suspend Reactor Licensing Decisions & Reactor Re-Licensing Decisions Pending Completion of Rulemaking Proceeding Regarding Environmental Impacts of High-Density Pool Storage of Spent ML14080A4602014-03-21021 March 2014 Tennessee Valley Authority'S Answer Opposing Petition to Suspend Reactor Licensing Decisions and Reactor Re-licensing Decisions Pending Completion of Rulemaking Proceeding Regarding Environmental Impacts of High-Density Pool Storage of Spen ML14080A2542014-03-21021 March 2014 NRC Staff Answer to Opposing Suspension Petition ML14058A6802014-02-27027 February 2014 Petition to Suspend Reactor Licensing Decisions and Reactor Re-Licensing Decisions Pending Completion of Rulemaking Proceeding Regarding Environmental Impacts of High-Density Pool Storage of Spent Fuel and Mitigation Measures ML13196A3552013-07-15015 July 2013 Southern Alliance for Clean Energy'S Unopposed Motion to Withdraw Contention 7 ML13127A3492013-05-0707 May 2013 Notice of Appearance for Anita Ghosh on Behalf of NRC Staff, in the Matter of Tennessee Valley Authority (Watts Bar Nuclear Plant, Unit 2) ML12362A3162012-12-27027 December 2012 Joint Response to Board Order Notifying Parties of Amendments to Rules of Practice ML12216A1592012-08-0303 August 2012 Tennessee Valley Authority'S Answer Opposing New Contention Concerning Temporary Storage and Ultimate Disposal of Spent Reactor Fuel at Watts Bar, Unit 2 ML12215A4652012-08-0202 August 2012 NRC Staff'S Answer to Southern Alliance for Clear Energy'S Motion for Leave to File a New Contention Concerning Temporary Storage and Ultimate Disposal of Spent Reactor Fuel at Watts Bar, Units 2 ML12198A3942012-07-16016 July 2012 Certificate of Service for a Letter from Diane Curran to Counsel for TVA and the NRC Staff Regarding Saces Thirtieth Supplement to Its Mandatory Disclosures ML12191A3832012-07-0909 July 2012 Southern Alliance for Clean Energy'S Motion for Leave to File a New Contention Concerning Temporary Storage and Ultimate Disposal of Spent Reactor Fuel at Watts Bar Unit 2 ML12177A1582012-06-25025 June 2012 Tennessee Valley Authority'S Answer Opposing Petition to Suspend Final Licensing Decisions Pending Completion of Remanded Waste Confidence Proceedings ML12177A0852012-06-25025 June 2012 NRC Staff'S Answer to Petition to Suspend Final Decisions in All Pending Reactor Licensing Proceedings Pending Completion of Remanded Waste Confidence Proceedings ML12170B0412012-06-18018 June 2012 Petition to Suspend Final Decisions in All Pending Reactor Licensing Proceedings Pending Completion of Remanded Waste Confidence Proceedings ML12118A5402012-04-27027 April 2012 Notices of Appearance of Paul M. Bessette and Stephen J. Burdick ML12118A5412012-04-27027 April 2012 Joint Answer Opposing Hearing Requests Regarding Sufficiency of Order EA-12-051 Modifying Licenses with Regard to Spent Fuel Pool Instrumentation ML11354A4732011-12-20020 December 2011 Certificate of Service of Copies of the Southern Alliance for Clean Energy'S Opposition to Tva'S Motion for Summary Disposition of Contention 7, Statement of Disputed Material Facts, and Declaration of Shawn Paul Young, Ph.D ML11354A4722011-12-20020 December 2011 Declaration of Shawn Paul Young, Ph.D. on Behalf of Southern Alliance for Clean Energy ML11354A4702011-12-20020 December 2011 Southern Alliance for Clean Energy'S Opposition to Tennessee Valley Authority'S Motion for Summary Disposition of Contention 7 Regarding Aquatic Impacts of Watts Bar Unit 2 ML11354A4712011-12-20020 December 2011 Southern Alliance for Clean Energy'S Statement of Disputed Material Facts ML11354A4032011-12-20020 December 2011 NRC Staff'S Answer to Tva'S Motion for Summary Disposition of Contention 7 Regarding Aquatic Impacts ML11311A3352011-11-0707 November 2011 Tennessee Valley Authority'S Opposition to Sace'S Motion for Leave to Supplement Its Fukushima-Related New Contention 2021-03-11
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UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE COMMISSION
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In the Matter of )
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TENNESSEE VALLEY AUTHORITY ) Docket No. 50-391
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(Watts Bar Nuclear Plant, Unit 2) ) November 30, 2009
__________________________________________)
NOTICE OF APPEARANCE OF CHRISTOPHER C. CHANDLER The undersigned, being an attorney at law in good standing admitted to practice before the courts of the State of New York, hereby enters his appearance in the above-captioned matter as counsel for the United States Tennessee Valley Authority (TVA), 400 W. Summit Hill Drive, Knoxville, TN, 37902.
Respectfully submitted, Signed (electronically) by
/s/ Christopher C. Chandler Christopher C. Chandler Office of the General Counsel Tennessee Valley Authority 400 W. Summit Hill Drive, WT 6A-K Knoxville, TN 37902 Phone: (865) 632-7317 Fax: (865) 632-3307 E-mail: ccchandler0@tva.gov Counsel for TVA Dated in Knoxville, TN this 30th day of November, 2009
UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE COMMISSION
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In the Matter of )
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TENNESSEE VALLEY AUTHORITY ) Docket No. 50-391
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(Watts Bar Nuclear Plant, Unit 2) ) November 30, 2009
__________________________________________)
CERTIFICATE OF SERVICE I hereby certify that copies of the Notice of Appearance of Christopher C. Chandler in the above-captioned proceeding have been served on the following persons this 30th day of November, 2009, by Electronic Information Exchange.
Atomic Safety and Licensing Board Panel Office of the Secretary U.S. Nuclear Regulatory Commission Rulemaking and Adjudications Staff Mail Stop: T-3F23 U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 Mail Stop: O-16C1 Lawrence G. McDade, Chair Washington, DC 20555-0001 Administrative Judge Hearing Docket E-mail: lgm1@nrc.gov E-mail: hearingdocket@nrc.gov Paul B. Abramson Administrative Judge Office of the General Counsel E-mail: pba@nrc.gov U.S. Nuclear Regulatory Commission Gary S. Arnold Mail Stop: O-15D21 Administrative Judge Washington, DC 20555-0001 E-mail: gxa1@nrc.gov Edward Williamson, Esq.
Wen Bu, Law Clerk E-mail: elw2@nrc.gov E-mail: wxb3@nrc.gov David Roth, Esq.
E-mail: david.roth@nrc.gov Office of Commission Appellate Andrea Jones, Esq.
Adjudication E-mail: andrea.jones@nrc.gov U.S. Nuclear Regulatory Commission Jeremy M. Suttenberg, Esq.
Mail Stop: O-16C1 E-mail: jeremy.suttenberg@nrc.gov Washington, DC 20555-0001 Brian Newell, Paralegal OCAA Mail Center E-mail: bpn1@nrc.gov E-mail: ocaamail@nrc.gov OGC Mail Center E-mail: OGCMailCenter@nrc.gov
Diane Curran, Esq.
Matthew D. Fraser, Esq. Morgan, Lewis & Bockius LLP Representatives of Southern Alliance for 1111 Pennsylvania Avenue, N.W.
Clean Energy (SACE) Washington, D.C. 20004 Harmon, Curran, Spielberg & Co-counsel for Tennessee Valley Authority Eisenberg, L.L.P. Paul M. Bessette, Esq.
1726 M Street NW, Suite 600 E-mail: pbessette@morganlewis.com Washington, DC 20036 Kathryn M. Sutton, Esq.
E-mail: dcurran@harmoncurran.com E-mail: ksutton@morganlewis.com mfraser@harmoncurran.com Signed (electronically) by
/s/ Christopher C. Chandler Christopher C. Chandler Office of the General Counsel Tennessee Valley Authority 400 W. Summit Hill Drive, WT 6A-K Knoxville, TN 37902 Phone: (865) 632-7317 Fax: (865) 632-3307 E-mail: ccchandler0@tva.gov Counsel for TVA