ML13302B999

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Forwards Testimony Filed in TMI-1 Proceeding in Emergency Planning Area for Assistance in Preparing FEMA Testimony in San Onofre OL Proceeding.Meeting Scheduled for 810424 to Discuss Testimony & Hearings.W/O Encl
ML13302B999
Person / Time
Site: San Onofre  Southern California Edison icon.png
Issue date: 04/09/1981
From: Hoefling R
NRC OFFICE OF THE EXECUTIVE LEGAL DIRECTOR (OELD)
To: Nauman K
Federal Emergency Management Agency
References
ISSUANCES-OL, NUDOCS 8104130617
Download: ML13302B999 (2)


Text

Kenneth W. Nauman, Jr.

Plans and Preparedness Division Federal Emergency Management Agency 211 Main Street San Francisco, California 94105 In the Matter of SOUTHERN CALIFORNIA EDISON COMP 4 AL.

(San Onofre Nuclear Generating Station, s.a

)

Docket Nos 50-361 OL and 50-362 0

Dear Ken:

Pursuant to conversations that I have had with you and with Mr. Daniel P.

Cosgrove, Assistant General Counsel for FEMA, it is my underst6ding that I will work with you to assist in the preparation of thstimony for presentation by FEMA to the Atomic Safety and Licensing Board in the San Onofre Units 2 and 3 operating license proceeding.

I am enclosing for your information copies of testimony with have been filed in the Three Mile Island Nuclear Station, Unit.1 proceeding in the emergency planning area. This testimony should serve as useful background for you and should give you an indication of the type of testimony which will be necessary for filing with the Board.

I have included specifically:

1. "Testimony of FEMA's Vernon E. Adler and Frederick J. Bath on Contentions Related to Offsite Emergency Preparedness," dateq March 16, 1981,
2. "Joint testimony of NRC Staff's Steven Chesnut and FEMA's Frederick J. Bath on Contentions Related To Onsite/Offs.ite Emergency Preparedness," dated March 16,1981 and
3. "Testimony of Frederick J. Bath and Vernon E. Adler of the

Federal Emergency Management Agency on CertainOffsite Emergency Planning Contentions," dated February 23, 1981 I have also included the text of the three contentions as they are

/

presently framed and which the testimony will need to. consider.

In essence, the broad question of the adequacy of offsite response need be addressed. We do, however, hope that these contentions will be revised, in the near future to more precisely define the issues. to be litig tedd at the hearing. I will keep you and Mr. Cosgrove advised on progress in this area to assure'the timely development of your testimony.

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I have also enclosed the NRC Staff Response to Interrogatories of FOE and I

GUARD in the emergency planning area served on April 1, 1981, for use as OFFICE S U R N A M E O 4

3 L

DATE 0

uNc FRMi 3o1o8c o1/0 NC 240 OFFICIAL R ECOR D COPY USaPO: 1966329-824

-2 I will plan to meet with you in your offices on April 24, 1981 to discuss the NRC hearing process and testimony preparation. If you have any questions, please to not hesitate to contact me.

Sincerely, Richard K. Hoefling, Counsel for NRC Staff cc w/o enclosure:

Daniel P. Cosgrove, Esq.

Assistant General Counsel Federal Emergency Management Agency Washington, D.C. 20472 DISTRIBUTION:

NRC Central LPDR Tourtellotte Chandler Hoefling HRood DScalletti SSchwartz, IE Hq D. Kunihiro, IE, Reg. V Chron.

OFFICE 0

OELD

.......V.

SURNAME)

RH 1 g:cr LChandler DATE 4/

1 4/

/81 NRC FORM 318(10/80) NRCM 0240 OFFICIAL RECORD COPY USGPo 80-329824