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Category:Legal-Motion
MONTHYEARML21277A1182021-10-0404 October 2021 Joint Motion to Amend Protective Order ML21277A1192021-10-0404 October 2021 Proposed Third Amended Protective Order ML21221A1532021-08-0909 August 2021 Edf Inc.'S Notice of Withdrawal of Edf Inc.'S Petition for Leave to Intervene and Hearing Request ML21168A3312021-06-17017 June 2021 Certificate of Service ML21168A3282021-06-17017 June 2021 Motion to Enter Second Amended Protective Order ML21162A0832021-06-11011 June 2021 Certificate of Service NRC-2021-0099, Agreed Motion to Extend Deadline for the Filing of Certain Hearing Requests Regarding Exelon Generation Company, LLCs Application by the Environmental Law and Policy Center, the People of the State of Illinois, and Exelon Generation Co2021-06-11011 June 2021 Agreed Motion to Extend Deadline for the Filing of Certain Hearing Requests Regarding Exelon Generation Company, LLCs Application by the Environmental Law and Policy Center, the People of the State of Illinois, and Exelon Generation Company ML21140A4092021-05-20020 May 2021 Environmental Law and Policy Center'S Motion to Extend Deadline for All Hearing Requests Regarding Exelon Generation Company, Llc'S Facility Operating License Transfer Application ML21140A4102021-05-20020 May 2021 Certificate of Service ML21141A3062021-05-20020 May 2021 Certificate of Service for Susan L. Satter ML21141A3052021-05-20020 May 2021 People of the State of Illinois'S Motion to Extend Deadline for All Interventions, Comments, and Hearing Requests Regarding Exelon Generation Company, Llc'S Facility Operating License Transfer Application ML14329B3522014-11-20020 November 2014 Motion for Leave to Intervene - 11-20-14 - NRDC V NRC - DC Cir 14-1225 ML14069A3942014-02-28028 February 2014 Petitioners Opposition to Federal Defendants Motion to Dismiss for Lack of Jurisdiction ML14045A1542014-02-10010 February 2014 Federal Respondents Motion to Dismiss for Lack of Jurisdiction ML14045A1722014-02-10010 February 2014 Motion to Dismiss Filed ML13050A3572013-02-19019 February 2013 Unopposed Motion Requesting Briefing in the Matter of Limerick Generation Station, Units 1 and 2 ML13044A4572013-02-13013 February 2013 Notice of Withdrawal of Joseph A. Lindell on Behalf of the U.S. Nuclear Regulatory Commission in the Matter of Limerick, Units 1 and 2 ML12331A3512012-11-26026 November 2012 Nrdc'S Response to Exelon'S Motion for Order Establishing Deadline for Response to Nrdc'S Request for Waiver Pursuant to 10 C.F.R. 51.53(c)(3)(ii)(L) ML12326A9742012-11-21021 November 2012 Declaration of Christopher J. Weaver, Ph.D., on Behalf of the Natural Resources Defense Council in Support of Motion for Waiver ML12326A9752012-11-21021 November 2012 Declaration of Geoffrey H. Fettus, Counsel for the Natural Resources Defense Council (Nrdc), Regarding Waiver of 10 C.F.R. 51.53(c)(3)(ii)(L) as Applied to Application for Renewal of Licenses for Limerick Units 1 and 2 ML12326A9762012-11-21021 November 2012 Natural Resources Defense Council'S Petition, by Way of Motion, for Waiver of 10 C.F.R. 51.53(c)(3)(ii)(L) as Applied to Application for Renewal of Licenses for Limerick Units 1 and 2 ML12331A3502012-11-16016 November 2012 Attachment 1 to Nrdc'S Response to Exelon'S Motion for Order Establishing Deadline for Response to Nrdc'S Request for Waiver Regarding Limerick, Units 1 and 2 ML12321A2292012-11-16016 November 2012 Motion for Order Establishing Deadline to File Responses to Nrdc'S Anticipated November 27, 2012 Waiver Petition ML12331A3522012-11-14014 November 2012 Attachment 2 to Nrdc'S Response to Exelon'S Motion for Order Establishing Deadline for Response to Nrdc'S Request for Waiver Regarding Limerick, Units 1 and 2 ML12242A4162012-08-29029 August 2012 NRC Staff'S Unopposed Response to the Board'S Notice ML12214A5142012-08-0101 August 2012 Notice of Appearance of Joseph Lindell on Behalf of the U.S. Nuclear Regulatory Commission in the Matter of Limerick, Units 1 and 2 ML12191A4092012-07-0909 July 2012 Nrdc'S Waste Confidence Contention ML12191A4082012-07-0909 July 2012 Nrdc'S Motion for Leave to File a New Contention Concerning Temporary Storage and Ultimate Disposal of Nuclear Waste at Limerick ML12191A4072012-06-0808 June 2012 DC Circuit Waste Confidence Opinion 8 June 2012 ML12110A4682012-04-19019 April 2012 Exelon'S Unopposed Motion to Defer Initial Disclosures ML12072A4142012-03-12012 March 2012 Exelon'S Unopposed Motion to Correct the Transcript of the Oral Argument Held on February 21, 2012 ML12068A4042012-03-0808 March 2012 NRC Staff'S Unopposed Motion to Correct the Transcript of the Oral Argument Held on February 21, 2010 ML12017A2572012-01-17017 January 2012 Exhibit 1 to Exelon'S Motion to Strike Portions of Nrdc'S Reply ML12017A2582012-01-17017 January 2012 Exelon'S Motion to Strike Portions of Nrdc'S Reply ML12017A2022012-01-17017 January 2012 NRC Staff'S Motion to Strike Impermissible New Claims in Natural Resources Defense Council'S Reply Brief ML11334A0392011-11-30030 November 2011 Natural Resources Defense Council Unopposed Motion for Extension of Time ML12326A9772011-11-22022 November 2011 Natural Resources Defense Council Petition to Intervene and Notice of Intention to Participate 2021-08-09
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March 8, 2012 UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of )
)
EXELON GENERATING COMPANY, LLC ) Docket Nos. 50-352-LR/ 50-353-LR
)
(Limerick Generating Station, Units 1 and 2 )
NRC STAFFS UNOPPOSED MOTION TO CORRECT THE TRANSCRIPT OF THE ORAL ARGUMENT HELD ON FEBRUARY 21, 2010 In accordance with 10 C.F.R. §§ 2.323(a) and 2.327(d) the NRC Staff (Staff) hereby requests that the Atomic Safety and Licensing Board (Board) correct the transcript of the prehearing conference in this matter, held on February 21, 2010. The Staff respectfully requests that the transcript be revised to incorporate the corrections identified in Appendix A, attached hereto. The Staff has limited its request to errors that altered the meaning of the Staffs statements.
In accordance with 10 C.F.R. § 2.323(b), counsel for the Staff has discussed this motion with counsel for the other parties in this proceeding. The Natural Resources Defense Council does not object to the proposed changes to the transcript but notes that these are not all of the corrections required to make the transcript accurate. Likewise, the Applicant does not object to the proposed changes to the transcript and intends to file another motion with further corrections.
Respectfully submitted,
/Signed (electronically) by/
Maxwell C. Smith Counsel for NRC Staff U.S. Nuclear Regulatory Commission Mail Stop O-15D21 Washington, DC 20555-0001 (301) 415-1246 Maxwell.Smith@nrc.gov Dated at Rockville, Maryland this 8th day of March 2012
UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of )
)
EXELON GENERATION COMPANY, LLC ) Docket Nos. 50-352-LR/ 50-353-LR
)
(Limerick Generation Station, Units 1 and 2 )
CERTIFICATE OF SERVICE I hereby certify that copies of the foregoing NRC STAFFS UNOPPOSED MOTION TO CORRECT THE TRANSCRIPT OF THE ORAL ARGUMENT HELD ON FEBRUARY 21, 2012 dated March 8, 2012, have been served upon the following by the Electronic Information Exchange, this 8th day of March, 2012:
William J. Froehlich, Chair U.S. Nuclear Regulatory Commission Atomic Safety and Licensing Board Office of the Secretary of the Commission Mail Stop: T-3F23 Mail Stop: O-16C1 U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 Washington, DC 20555-0001 hearingdocket@nrc.gov William.Froehlich@nrc.gov Dr. Michael F. Kennedy U.S. Nuclear Regulatory Commission Atomic Safety and Licensing Board Office of Commission Appellate Adjudication Mail Stop: T-3F23 Mail Stop: O-16C1 U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 Washington, DC 20555-0001 ocaamail@nrc.gov Michael.Kennedy@nrc.gov Dr. William E. Kastenberg Exelon Generation Company, LLC Atomic Safety and Licensing Board 4300 Warrenville Road Mail Stop: T-3F23 Warrenville, IL 60555 U.S. Nuclear Regulatory Commission J. Bradley Fewell, Deputy General Counsel Washington, DC 20555-0001 Bradley.Fewell@exeloncorp.com William.Kastenberg@nrc.gov Morgan, Lewis & Bockius LLP Geoffrey H. Fettus 1111 Pennsylvania Avenue, N.W. Natural Resources Defense Counsel Washington, DC 20004 1152 15th Street NW Alex S. Polonsky, Esq. Washington, DC 20005 apolonsky@morganlewis.com gfettus@nrdc.org Kathryn M. Sutton, Esq.
ksutton@morganlewis.com
Anthony Z. Roisman National Legal Scholars Law Firm, P.C.
241 Poverty Lane, Unit 1 Lebanon, NH 03766 aroisman@nationallegalscholars.com Signed (electronically) by Maxwell C. Smith Counsel for NRC Staff U.S. Nuclear Regulatory Commission Office of the General Counsel Mail Stop - O-15D21 Washington, DC 20555 Telephone: (301) 415-1246 E-mail: Maxwell.Smith@nrc.gov Date of signature: March 8, 2012
APPENDIX A NRC STAFFS PROPOSED CHANGES /CORRECTIONS TO TRANSCRIPT OF ORAL ARGUMENT HELD ON FEBRUARY 21, 2012 PAGE / LINE DELETE INSERT 9 / 16 Bruce Drew 31 / 24 misunderstanding its understanding 33 / 3 removal renewal 33 / 8 and in 51 / 4 and are from 66 / 6 of the call its called 116 / 4 labor waiver 131/ 24 document does not make 132/ 1 regulate regulation 132/ 7 youre asking severe accidents 134/ 10 wouldnt would have 146/ 10 D-1 B-1 147/ 18 has been how 152/ 20 LPD LBP 176/ 9 but because 181/ 23 remanded renewed 184/ 25 from the small R and finds them to be small 186/ 2 23 2300 187/ 16 chronology terminology 218/ 2 a total until the 224/ 20 called the a public 227/ 1 infusibility infeasibility 261/ 5 and since has sensed 262/ 10 impact submissions of impacts the Commissions 263/ 8 more or