ML19199A380
| ML19199A380 | |
| Person / Time | |
|---|---|
| Site: | Crane |
| Issue date: | 07/08/1974 |
| From: | Black R US ATOMIC ENERGY COMMISSION (AEC) |
| To: | |
| References | |
| NUDOCS 7905020001 | |
| Download: ML19199A380 (3) | |
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July 8, 1974
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u b0 UNITED STATES OF AMERICA ATOMIC ENERGY CCmISSION BEFORE THE ATOMIC SAFETY AND LICENSING E0ARD In the Matter of I
METROPOLITAN ECISON COMPANY, ET AL.
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Docket No. 50-320 I
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(Three Mile Island Nuclear Station,
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Unit 2)
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ANSWER OF AEC REGULATORY STAFF TO PETITION TO INTERVENE FILED BY BARBAPA PRADEL i
1.
On May 28, 1974, the United States Atomic Energy Commission published a Notice of Opportunity for Hearing on Application for Facility Operating License and a Notice of Opportunity for Hearing with re. ict to whether the provisional construction permit should be continut.2,
. modified or terminated to protect environmental values in accordance s
with Appendix D to 10 CFR Part 50, concerning the Three Mile Island Nuclear Station, Unit 2 (39 F.R. '18497).
The Notice provided for the submission of petitions to intervene in accordance with the pro-visions of 10 CFR H 2.714 of the Comission's Rules of Practice.
2.
On June 24, 1974, Mrs. Barbara Pradel filed a timely petition to intervene in this proceeding.
3.
The Regulatory Staff believes that the petition to intervene does not meet the requirements of 10 CFR H 2.714, and therefore, should be denied for the following reasons:
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(a) Section 2.714 of 10 CFR requires a petitioner to show how the interest of the petitioner would be affected by the results of the proceeding. Mrs. Pradel has merely alleged in generalized terms the harmful effects of the facility upon herself and her family.
The Staff believes that such generalized statements are
- 1. sufficient to meet the requirements of 10 CFR 5 2.714.
(b) Section 2.714 of 10 CFR, r.s interpreted by the Atomic Safety and Licensing Appeal Board,1/ requires that a petition to intervene to be acceptable must specify at least one relevant contention with reasonable specificity and with some basis assigned for it. Mrs pradel's petition is defective with respect to this requirement in that it fails to specify~even one such relevant t
contention.
Respectfully submitted, sd, '
Richard L. Black Counsel for AEC Regulatory Staff l
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See, e.o., florthern States Power Ccmoany (Prairie Island fluclear Generating Plant, Units I and 2), ALAB-107, RAI-73-3188 (March 29, 1973); Mississiooi Power and Licht Comoany (Grand Gulf fluclear Station, Units I and 2), ALAB-130, RAI-73-6 423 (June 19,1973).
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-1 UNITED STATES OF AMERICA ATOMIC ENERGY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSIrlG BOARD In the Matter of
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METROPOLITAN EDISON COMPANY, ET,A1. ) -
Docket tio. 50-320
)
(Three Mile Island fluclear Station, )
J Unit 2)
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CERTIFICATE OF SERVICE I hereby certify that copies of " ANSWER OF AEC REGULATORY STAFF TO PETITION TO INTERVEtlE FILED BY BARBARA PRADEL," dated July 8,1974, in the above-captioned matter, have been served on the following by deposit in the United States mail, first class or air mail, this 8th day of July,1974:
Mr. Sidney G. Kingsley, Chairman Atomic Safety and Licensing 8,
Atomic Safety and Licensing Board Board Panel U. S. Atomic Energy Comission U. S. Atomic Energy Comission Washington, D. C.
20545 Washington, D. C.
20545 Dr. Emmeth A. Luebke Atomic Safety and t.icensing Atomic Safety and Licensing Board Appeal Board U. S. Atomic Energy Comission U. S. Atomic Energy Comission Washington, D. C. 20545 Washington, D. C.
20545 Dr. Frederick P. Cowan Mr. Frank W. Karas 22 Browns Lane Chief, Public Proceedings Staff Bellport, New York 11713 Office of the Secretary of the Comission Mr. Chauncey R. Kepford U. S. Atomic Energy Comission Citizens for a Safe Environment Washington, D. C.
20545 108 N. Pershing Avenue
, York, Pennsylvania 17403 George F. Trowbridge, Esq.
Shaw, Pittman, Potta & Trowbridge Barr Building i
910 - 17th Street, N. W.
i Washington, D. C.
20006 i
Y'IS<A h t,t !( / G t,t Myron Kaman Counsel / for AEC Regulatory Staff
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