ML19151A607

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Intervenors' Mandatory Disclosure Supplemental Disclosure Report Under 10 C.F.R. 2.336
ML19151A607
Person / Time
Site: Turkey Point  NextEra Energy icon.png
Issue date: 05/31/2019
From: Ayres R, Cox K, Fettus G, Reiser C, Rumelt K
Friends of the Earth, Miami Waterkeeper, Natural Resources Defense Council
To:
Atomic Safety and Licensing Board Panel
SECY RAS
References
50-250-SLR, 50-251-SLR, ASLBP 18-957-01-SLR-BD01, RAS 55013
Download: ML19151A607 (3)


Text

UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD

)

In the Matter of )

) Docket Nos. 50-250-SLR & 50-251-SLR FLORIDA POWER & LIGHT COMPANY )

(Turkey Point Units 3 and 4) ) May 31, 2019

)

INTERVENORS MANDATORY DISCLOSURE REPORT UNDER 10 C.F.R. § 2.336 Pursuant to 10 C.F.R. § 2.336, and the Licensing Boards Initial Scheduling Order dated March 21, 2019 and Order dated April 2, 2019, Intervenors Friends of the Earth, Inc., Natural Resources Defense Council, Inc., and Miami Waterkeeper, Inc. (collectively, Intervenors), by and through counsel, make the following disclosures with respect to the admitted contentions:

1. Testifying Witnesses. Intervenors have not yet identified the persons whom they propose to have testify as witnesses with respect to the admitted contentions. As required by 10 C.F.R. § 2.336, Intervenors will supplement this disclosure once testifying witnesses are identified.

2. Documents and Data Collections. Petitioners currently do not have additional documents or data collections to disclose.

3. Tangible Things. Intervenors do not have any tangible things to disclose.

4. Privileged Documents. At this time, Intervenors are not aware of any documents in their possession, relevant to the contentions, that would otherwise be required to be disclosed for which a claim of privilege or protected status is being made.

 

5. Certification under 2.336(c). Pursuant to Section 2.336(c), the foregoing disclosures constitute all relevant materials required by such section to have been disclosed, and the disclosures are accurate and complete as of this date.

Respectfully submitted,

/s/ Richard Ayres /s/ Geoffrey H. Fettus Richard E. Ayres Geoffrey Fettus Ayres Law Group /s/ Caroline Reiser 2923 Foxhall Road, N.W. Caroline Reiser Washington, D.C. 20016 Natural Resources Defense Council 202-722-6930 1152 15th Street, NW, Suite 300 ayresr@ayreslawgroup.com Washington, DC 20005 Counsel for Friends of the Earth 202-289-2371 gfettus@nrdc.org creiser@nrdc.org Counsel for Natural Resources Defense Council

/s/ Ken Rumelt /s/ Kelly Cox Kenneth J. Rumelt Kelly Cox Environmental & Natural Resources Miami Waterkeeper Law Clinic 2103 Coral Way 2nd Floor Vermont Law School Miami, FL 33145 164 Chelsea Street, PO Box 96 305-905-0856 South Royalton, VT 05068 kelly@miamiwaterkeeper.org 802-831-1031 Counsel for Miami Waterkeeper krumelt@vermontlaw.edu Counsel for Friends of the Earth May 31, 2019

 

CERTIFICATE OF SERVICE I hereby certify that copies of the foregoing Intervenors Mandatory Disclosure Report in the above-captioned proceeding were served via the Electronic Information Exchange (EIE) on the 31st day of May 2019, which to the best of my knowledge resulted in transmittal of same to those on the EIE Service List for the captioned proceeding.

/s/ Ken Rumelt May 31, 2019