ML18022A429

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Package of Five Comments Urging Denial of Util Request for Exemption from 10CFR50,App E Requirements Re Emergency Response Plan Full Participation Exercise within 1 Yr Prior to Commercial Operation of Plant
ML18022A429
Person / Time
Site: Harris Duke Energy icon.png
Issue date: 09/23/1986
From: Meddor A, Riseker R
AFFILIATION NOT ASSIGNED
To: Harold Denton
NRC
References
NUDOCS 8609230282
Download: ML18022A429 (12)


Text

REGULA Y INFOR~)}ATION DISTR I BUTI BYBTE}'} (R IDB)

ACCESSION NBR: 8609230282 DOC. DATE: 86/09/23 NOTARIZED: NO DOCKET FACIL: 50-400 Sheav on Hav ris Nucleav Power Planti Unit 1. Cav olina 05000400 AUTH. NAE AUTHOR AFFILIATION

 }'}EDDORi A. J.        Affiliation Not     Assigned RISEKER> R.            Affiliation Not     Assigned REC IP. NAI'}E         RECIPIENT AFFILIATION DENTON, H. R.          Office of Nuclear Reactor Regulation> Directov (post 85ii25

SUBJECT:

Package of five commentsI urging denial of util v equest for exemption from 10CFR50> App E re conduct of emev gene g v'esponse plan full pav ticipation exev cise within one gear pr i ov'o c ommer c i al opev ation o f plant. DIBTRIDVTIQN CODE: YECSD TITLE: Request fov NRR CQPIEB RECEIVED; LTR Action (e.

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g. 2. 206 Petitions) Sc gRelated SIZE:

Cov v espondenc NOTES: Application fov permit v enewal filed. 05000400 RECIPIENT COPIES RECIPIENT COPIEB ID CODE/NANE LTTR ENCL ID CODE/NAi}E LTTR ENCL PWR-A PD2 LA P4lR-A PD2 PD BUCKLEY> 8 Ol INTERNAL: EDO/ACB ELD/HDBl ELD NRR DIR FILF EXTERNAL LPDR 03 NRC PDR 02 NBIC 05 TOTAL NUl'}}3ER OF COPIEB REQUIRED: LTTR 11 ENCL

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Dear Hr. Denton:

I wish to urge dermal of CPS.1's request for exemption from the -d'equirement, under 10 CFR 50, Appendix E, that the Company conduct a full participation exercise of the Emergency Response Plan for its Shearon Harris nuclear power plant within one year before beginning commercial operation of the plant or before operating at greater than five percent of rated power. Because of the, need for changes in the evacua-tion plan, I~g~believe this exercise should be conducted before the plant is permitted to operate at all. Jl Sincerely, 8+0923

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Dear Hr. Denton:

I wish to urge denial of CPS,L's request for exemption from the requirement, und~ 10 CFR 50, Appendix E, that the Companp~<donductPa full participation exercise of t'e Emergency Response

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Plan for its Shearon Harris nuclear power plant within one year before beginning commercial operation of the plant or before operating at greater than five percent of rated power. Because of the need for changes in the evacua-tion plan, l believe this exercise should be conducted before the plant is permitted to operate at all. Sincerely,

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Dear Mr. Denton:

I wish to urge denial of CPS,L's truest for exemption from the requirement, upper 10 CPR 50, Appendix E, that the Company conduct a full participation exercise'o'd the Emergency Response Plan for its Shearon Harris nuclear power plant within one year before beginning commercial operation of the plant or before operating at greater than five percent of rated power. Because of the need for changes in the evacua-tion plan, l believe this exercise should be conducted before the plant is permitted to operate at, all. Sincerely, (@~ )~

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Dear Mr. Denton:

I wish to urge denial of G16L's request for exemption from the requirement, unbar 10 CFR 50 Appendix E, that the Company conduct a full participation exercise of the Emergency Respons Plan for its Shearon Harris nuclear power plant within one year before beginning commercial operation of the plant or before operating at greater than five percent of rated power. Because of the need for changes in the evacua-i tion plan, believe this exercise should be conducted before the plant is permitted to operate at all. Sincere

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Dear 'Nr. Denton:

    ~ w exemp ion Appen O'ix t            'nr I wishh to urgee denial of CPSL's request for t on from the requirement, un'der 10 CFR 50, i

full that the Company conduct a ful articxpaation exercise of the Emergency Res p onse h'ear Plan, for t n its Sh ear on Harris nuclear power plant before beginning commercial of the plant or before operating a g'reater than five percent of rated power. Because o f the need for changes in the evacua-tion plan, I believe this exercise should be conducted before the plant is permitted to operate at all. Sincerely, C'

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