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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20082F7771983-11-23023 November 1983 Motion for Order Approving Encl Withdrawal of Application & Terminating Proceeding ML20082F7881983-11-23023 November 1983 Withdrawal of OL Application.Certificate of Svc Encl ML20080L9431983-09-28028 September 1983 Second Request for Addl Extension Until 840115 to Answer Intervenor Motion for Summary Disposition of Contention 1. Portland General Electric Co Expects to Decide on Plant Termination by End of 1983.Certificate of Svc Encl ML20080G0731983-09-13013 September 1983 Request for Extension Until 831014 to Answer Intervenor Motion for Summary Disposition of Contention 1.Motion May Be Moot If Other Owners Concur W/Util Decision to Terminate Proceeding.Certificate of Svc Encl ML20071Q7201983-06-0303 June 1983 Response Opposing Applicant 830525 Request for Extension Until 830930 to Answer Motion for Summary Disposition of Contention 1.No Good Cause Demonstrated.Certificate of Svc Encl ML20071M0781983-05-25025 May 1983 Request for Extension Until 830930 to Answer NRDC Motion for Summary Disposition of Contention 1.Time Needed to Consider Implications of Final Northwest Conservation Electric Power Plan & Licensing Alternatives.Certificates of Svc Encl ML20023C4571983-05-12012 May 1983 Memorandum of Points & Authorities Supporting Intervenor Motion for Summary Disposition Since Contention 1 No Longer Controversial Issue.Certificate of Svc Encl ML20023C6971983-05-12012 May 1983 Affidavit of DB Goldstein Supporting NRDC Motion for Summary Disposition of Contention 1 Re Need for Power.Four Forecasts for Energy Needs Refute Need for Power Justification Developed by Util.Prof Qualifications Encl ML20023C3741983-05-12012 May 1983 Statement of Matl Facts as to Which There Is No Genuine Issue Re Contention 1 ML20023C3691983-05-12012 May 1983 Motion for Summary Disposition of Contention 1 Re Calculation of Demand for Electrical Energy Negating Need for Plant.No Genuine Issue of Matl Fact Exists ML20064N6681983-02-10010 February 1983 Motion to Suspend Health & Safety Prehearing Schedule Pending Adoption of Final Regional Energy Plan or Until Conclusion of Evidentiary Hearings on Need for Power. Applicant Appears Ready to Absorb Facility Costs ML20071A6671983-02-10010 February 1983 Certifies Svc of Intervenor Motion to Suspend Safety & Health Schedule on 830210 ML20070T0661983-02-0404 February 1983 Motion for Order Suspending Health & Safety Prehearing Schedule,Pending Adoption of Final Regional Power Plan & Further Order of Aslb.Suspension Would Be in Best Interest of All Concerned.W/Certificate of Svc ML20083N8101983-01-31031 January 1983 New Contentions Based on New Info in SER Suppl.Certificate of Svc Encl ML20083N1991983-01-26026 January 1983 Notice of Appeal & Exceptions to ASLB 830118 Memorandum & Order.Memorandum & Order Fails to Recognize Yakima Indian Nation Sovereignty & Treaty Rights Which Are Supreme Law of Land.Affidavit of Svc Encl ML20028F1831983-01-25025 January 1983 Notification of Intent to File New Contentions Based on New Info in SER Suppl.Certificate of Svc Encl ML20028E9701983-01-19019 January 1983 Reply to NRC & Applicant Response to Natl Wildlife Federation/Or Environ Council,Columbia River Inter-Tribal Fish Commission & Coalition for Safe Power 821213 Motion to Clarify & Amend Certain Contentions.W/Certificate of Svc ML20072A6731983-01-18018 January 1983 Motion for Extension of Time Until 830210 to File Answer to Natl Wildlife Federation/Or Environ Council 830105 Motion to Compel Discovery.Parties Attempting to Settle Matter by Informal Agreement.Certificate of Svc Encl ML20028C9581983-01-0505 January 1983 Memorandum Supporting Natl Wildlife Federation/Or Environ Council 830105 Motion to Compel Discovery.Applicants Misinterpreted 10CFR2.740(b)(1) Relevancy Std.Discovery Requests Are Relevant.W/Certificate of Svc ML20028C9501983-01-0505 January 1983 Motion to Compel Applicants to Respond in Full to Natl Wildlife Federation/Or Environ Council 821201 Interrogatories & Request for Production of Documents ML20028C3221983-01-0303 January 1983 Suppl to DOE 821126 Limited Appearance Statement.Doe Position Is That Hanford Site Is Not Open,Unclaimed Land as Defined in 1855 Treaty W/Yakima Indian Nation,Article Iii. ASLB Is Wrong Forum for Resolving Issue ML20070L5411982-12-27027 December 1982 Answer Opposing Yakima Indian Nation 821210 Motion for Reconsideration of ASLB 821029 Memorandum & Order Re Suppl to Petition to Intervene.Aslb Rejection of Contentions 7,8 & 9 Well Founded ML20070L4901982-12-27027 December 1982 Affidavit of Mv Stimac Supporting Applicant Answer to Yakima Indian Nation Motion for Reconsideration.Describes Plant Site & Location of Casements.Certificate of Svc Encl ML20079J6021982-12-23023 December 1982 Response Supporting Intervenor 821213 Motion to Clarify & Amend Contentions 7 & 8.Quantification of Environ Impacts Not Practicable Due to Subjective Nature.Certificate of Svc Encl ML20023B3081982-12-20020 December 1982 Response to 821201 Discovery Requests.Certificate of Svc Encl ML20079H3711982-12-13013 December 1982 Motion to Clarify & Amend Contentions 7 & 8.Contentions Should Be Reorganized to Facilitate Coordinated Evidentiary Presentations for Environ Matters ASLB Set Out as Contentions 4,7 & 8.Certificate of Svc Encl ML20070D1181982-12-10010 December 1982 Affidavit of R Jim Supporting Yakima Indian Nation Brief on Admissibility of Nation Reworded Proposed Contention 10 & Motion for Reconsideration.Nation Has Right to Pasture Horses & Gather Roots Even Though Us Holds Title to Land ML20070C9121982-12-10010 December 1982 Notice of Counsel New Law Firm Affiliation,As of 820901 ML20070C8181982-12-10010 December 1982 Motion for Reconsideration of ASLB 821029 Memorandum & Order Re Yakima Indian Nation Contentions 7,8 & 9.Nation Right to Enjoy Reservation Peacefully Given by 1855 Treaty Should Be Protected by ASLB ML20070C7691982-12-10010 December 1982 Certifies Svc of Brief on Admissibility of Reworded Proposed Contention 10,motion for Reconsideration of ASLB 821029 Memorandum & Order,R Jim Affidavit & Notice of Counsel Law Firm Change on 821210 ML20070C7981982-12-10010 December 1982 Brief Supporting Admissibility of Yakima Indian Nation Reworded Proposed Contention 10.Attempt to Terminate Reserved Rights of Yakima Indian Nation Violates Fifth Amend.Land Cannot Be Taken by Inverse Condemnation ML20028B9251982-12-0101 December 1982 Brief Re Admissibility of Yaking Indian Nation Proposed Contention 10.Clarification Needed on Procedural Rule of Commission & Scope of Contention.Certificate of Svc Encl ML20028B8971982-12-0101 December 1982 Request for Production of Documents & Interrogatories,Per 10CFR2.740(b) & 10CFR2.741.Certificate of Svc Encl.Related Correspondence ML20028B2631982-11-26026 November 1982 Limited Appearance Statement.Hanford Site Is Not Part of Yakima Indian Nation Reservation Established by 1855 Treaty. Indian Privilege of Hunting,Gathering Roots & Berries & Grazing Animals Does Not Extend to Hanford Site ML20066K9761982-11-22022 November 1982 Motion to Alter Lead Party Designation Established for Contention 3 in ASLB 821102 Memorandum & Order.All Intervenors Concur That NRDC Should Be Designated Lead Party,Since NRDC Demonstrated Greatest Expertise on Issue ML20066L0101982-11-22022 November 1982 Motion to Amend Accepted Contention 3.Proposed Amends Would Conform Contention 3 to Earlier Admitted NRDC Contention on Which Contention 3 Is Partially Based.Certificate of Svc Encl ML20023A8301982-10-15015 October 1982 Response to 820910 First Set of Production Requests. Certificate of Svc Encl.Related Correspondence ML20023A8141982-10-14014 October 1982 Response to Yakima Indian Nation 820930 Suppl to Petition to Intervene,Containing List of Contentions.Objects to Contentions 4-10.Certificate of Svc Encl ML20027C1591982-10-0606 October 1982 Response to 820917 First Set of Interrogatories ML20063P4011982-10-0606 October 1982 Response to Columbia River Inter-Tribal Fish Commission 820923 Notice of Appeal of ASLB 820903 Memorandum & Order Denying Intervention.Applicants Will Not Oppose Appeal in Order to Maintain Schedule for Proceeding ML20071N3791982-10-0404 October 1982 Response to First Set of Interrogatories.Certificate of Svc Encl ML20065H5451982-09-29029 September 1982 Supplement to Petition to Intervene,Consisting of Contentions & Bases for Contentions ML20065H5481982-09-29029 September 1982 Applicant Response to Coalition for Safe Power 820910 First Set of Interrogatories.Certificate of Svc Encl.Related Correspondence ML20065J1601982-09-28028 September 1982 Responds to Util 820917 First Set of Interrogatories. Certificate of Svc Encl.Related Correspondence ML20069F9541982-09-23023 September 1982 Memorandum Supporting Appeal of ASLB 820908 Memorandum & Order Denying 820505 Petition to Intervene or Alternatively, to Remand Petition to ASLB for Further Clarification on Question of Standing.Certificate of Svc & Exhibit Encl ML20069F9491982-09-23023 September 1982 Notice of Appeal of ASLB 820908 Memorandum & Order Denying 820505 Petition to Intervene.Supporting Brief Encl ML20027B5661982-09-17017 September 1982 Response to First Set of Interrogatories.Certificate of Svc Encl ML20137F8001982-09-17017 September 1982 Amended Subagreement 2 Between State of Wa Energy Facility Site Evaluation Council & NRC Re Protocol for Conduct of Joint Hearings on Facility Project ML20027B5631982-09-17017 September 1982 First Set of Interrogatories ML20027B5571982-09-15015 September 1982 Motion for Extension of Time Until 821004 to Respond to Applicant Interrogatories.Counsel Was Unavailable When Interrogatories Arrived. Certificate of Svc Encl 1983-09-28
[Table view] Category:PLEADINGS
MONTHYEARML20082F7771983-11-23023 November 1983 Motion for Order Approving Encl Withdrawal of Application & Terminating Proceeding ML20080L9431983-09-28028 September 1983 Second Request for Addl Extension Until 840115 to Answer Intervenor Motion for Summary Disposition of Contention 1. Portland General Electric Co Expects to Decide on Plant Termination by End of 1983.Certificate of Svc Encl ML20080G0731983-09-13013 September 1983 Request for Extension Until 831014 to Answer Intervenor Motion for Summary Disposition of Contention 1.Motion May Be Moot If Other Owners Concur W/Util Decision to Terminate Proceeding.Certificate of Svc Encl ML20071Q7201983-06-0303 June 1983 Response Opposing Applicant 830525 Request for Extension Until 830930 to Answer Motion for Summary Disposition of Contention 1.No Good Cause Demonstrated.Certificate of Svc Encl ML20071M0781983-05-25025 May 1983 Request for Extension Until 830930 to Answer NRDC Motion for Summary Disposition of Contention 1.Time Needed to Consider Implications of Final Northwest Conservation Electric Power Plan & Licensing Alternatives.Certificates of Svc Encl ML20023C4571983-05-12012 May 1983 Memorandum of Points & Authorities Supporting Intervenor Motion for Summary Disposition Since Contention 1 No Longer Controversial Issue.Certificate of Svc Encl ML20023C3741983-05-12012 May 1983 Statement of Matl Facts as to Which There Is No Genuine Issue Re Contention 1 ML20023C3691983-05-12012 May 1983 Motion for Summary Disposition of Contention 1 Re Calculation of Demand for Electrical Energy Negating Need for Plant.No Genuine Issue of Matl Fact Exists ML20064N6681983-02-10010 February 1983 Motion to Suspend Health & Safety Prehearing Schedule Pending Adoption of Final Regional Energy Plan or Until Conclusion of Evidentiary Hearings on Need for Power. Applicant Appears Ready to Absorb Facility Costs ML20070T0661983-02-0404 February 1983 Motion for Order Suspending Health & Safety Prehearing Schedule,Pending Adoption of Final Regional Power Plan & Further Order of Aslb.Suspension Would Be in Best Interest of All Concerned.W/Certificate of Svc ML20083N1991983-01-26026 January 1983 Notice of Appeal & Exceptions to ASLB 830118 Memorandum & Order.Memorandum & Order Fails to Recognize Yakima Indian Nation Sovereignty & Treaty Rights Which Are Supreme Law of Land.Affidavit of Svc Encl ML20072A6731983-01-18018 January 1983 Motion for Extension of Time Until 830210 to File Answer to Natl Wildlife Federation/Or Environ Council 830105 Motion to Compel Discovery.Parties Attempting to Settle Matter by Informal Agreement.Certificate of Svc Encl ML20028C9581983-01-0505 January 1983 Memorandum Supporting Natl Wildlife Federation/Or Environ Council 830105 Motion to Compel Discovery.Applicants Misinterpreted 10CFR2.740(b)(1) Relevancy Std.Discovery Requests Are Relevant.W/Certificate of Svc ML20028C9501983-01-0505 January 1983 Motion to Compel Applicants to Respond in Full to Natl Wildlife Federation/Or Environ Council 821201 Interrogatories & Request for Production of Documents ML20070L5411982-12-27027 December 1982 Answer Opposing Yakima Indian Nation 821210 Motion for Reconsideration of ASLB 821029 Memorandum & Order Re Suppl to Petition to Intervene.Aslb Rejection of Contentions 7,8 & 9 Well Founded ML20066L0101982-11-22022 November 1982 Motion to Amend Accepted Contention 3.Proposed Amends Would Conform Contention 3 to Earlier Admitted NRDC Contention on Which Contention 3 Is Partially Based.Certificate of Svc Encl ML20066K9761982-11-22022 November 1982 Motion to Alter Lead Party Designation Established for Contention 3 in ASLB 821102 Memorandum & Order.All Intervenors Concur That NRDC Should Be Designated Lead Party,Since NRDC Demonstrated Greatest Expertise on Issue ML20063P4011982-10-0606 October 1982 Response to Columbia River Inter-Tribal Fish Commission 820923 Notice of Appeal of ASLB 820903 Memorandum & Order Denying Intervention.Applicants Will Not Oppose Appeal in Order to Maintain Schedule for Proceeding ML20069F9541982-09-23023 September 1982 Memorandum Supporting Appeal of ASLB 820908 Memorandum & Order Denying 820505 Petition to Intervene or Alternatively, to Remand Petition to ASLB for Further Clarification on Question of Standing.Certificate of Svc & Exhibit Encl ML20027B5571982-09-15015 September 1982 Motion for Extension of Time Until 821004 to Respond to Applicant Interrogatories.Counsel Was Unavailable When Interrogatories Arrived. Certificate of Svc Encl ML20063M6211982-09-10010 September 1982 Motion for Extension of Time Until 820923 to File Responses to Applicant First Set of Interrogatories.Staff Will Be Absent from Ofc 820911-23.Certificate of Svc Encl.Related Correspondence ML20063M2351982-09-0101 September 1982 Statement of Matl Fact as to Which There Is No Genuine Issue on Coalition for Safe Power Contention 26 ML20063M2291982-09-0101 September 1982 Motion for Summary Disposition of Coalition for Safe Power Contention 26.No Genuine Issue of Matl Fact Exists.Basis for Contention Was PSAR Section 3.10 Which Has Subsequently Been Amended.Related Correspondence ML20063A5051982-08-19019 August 1982 Motion for Leave to Reply to Applicant 820730 Response Opposing Columbia River Inter-Tribal Fish Commission 820716 Motion for Admission of Second Suppl to Petition to Intervene.Question of Standing Raised.W/Certificate of Svc ML20062D5201982-08-0505 August 1982 Response to Columbia River Inter-Tribal Fish Commission 820716 Motion for Admission of Second Suppl to Petition to Intervene.Good Cause Shown for Contention 4.Other Factors Favor Admission of Contention 5.W/Certificate of Svc ML20058D5401982-07-21021 July 1982 Memorandum Supporting Appeal of ASLB 820706 Memorandum & Order.Contentions 3E & 5 Should Be Accepted as Litigatable Issues.Certificate of Svc Encl ML20063H1141982-07-16016 July 1982 Motion for Admission of Second Suppl to Petition to Intervene ML20053D0651982-05-27027 May 1982 Motion for Extension of Time Until 820611 to Answer Coalition for Safe Power 820527 Amended Contentions. Washington co-counsel Has Not Received Contention & Document Is Lengthy.Certificate of Svc Encl ML20052D0561982-04-28028 April 1982 Response Opposing Deposition of MT Dana.Discovery Premature & Does Not Relate to Matters in Controversy.Reasonable Notice Not Given & Allowing Deposition Would Amount to Harassment.W/Certificate of Svc.Related Correspondence ML20054E1511982-04-20020 April 1982 Motion for Extension of Time for Filing Addl Contentions Since Portions of PSAR & Amend 5 to Application for Site Certificate/Environ Rept Received on 820416,4 Days Before Contentions Due ML20005B7061981-08-18018 August 1981 Motion,In Ltr Form,For Order That All Parties Fully Serve All Documents on Coalition for Safe Power & Forelaws on Board,Pending Renoticing & Rulings on Petitions to Intervene.Impractical to Gain Access to Documents at Lpdr ML19332A8871980-09-11011 September 1980 Statement Suggesting That Full Commission Review of Orders & Opinions Below Not Necessary Due to Mootness.Aslb 800827 Order Indicates Proceeding Has Terminated ML19321A6291980-07-16016 July 1980 Motion for Order Evidencing Current Status & Setting Schedule for Further Proceeding.Amend to Application Will Be Filed by 800930.Anticipated Schedule for Environ Rept & PSAR Amends May Be Filed on Same Date.W/Draft Order & Release ML19323J2211980-06-0404 June 1980 Reply Withdrawing 800508 Motion to Dismiss Application. Applicant Response to Motion & Mecca Affidavit Provided Detailed Info Re Applicant 800414 Rept.Progress Rept Must Be Filed by 800601 by Applicant.Certificate of Svc Encl ML19312E9291980-05-23023 May 1980 Reply in Opposition to Skagitonians Concerned About Nuclear Power 800508 Motion to Dismiss Application W/Prejudice Due to Lack of Diligent Pursuit.Applicants Are Engaged in Extensive Program to Locate Suitable Site ML19310A2181980-05-0808 May 1980 Motion to Dismiss Application W/Prejudice.Applicants Took No Steps to Pursue Application Despite Opportunity Given at 800122 Conference to Address Pending Geology & Seismology Issues.Certificate of Svc Encl ML19323A9731980-04-17017 April 1980 Pleading in Lieu of Brief Amicus Curiae Re Untimely Petition of Three Indian Tribes.Urges Admittance of Tribes as Full Parties Except for Fully Addressed Issues Where Serious Gaps in Existing Record Must Be Shown.Certificate of Svc Encl ML19296D5061980-02-22022 February 1980 Response in Opposition to Doi 800215 Motion for Extension Until 800414 to File Brief Amicus Curiae.Motion Filed at Last Day of Permitted Period.Certificate of Svc Encl ML19296C8801980-02-15015 February 1980 Motion for Extension Until 800114 to File Brief Amicus Curiae Re Whether Indian Tribes Status Gives Sufficient Cause for Late Intervention.Nrc Does Not Object to Such Extension.Affidavit & Certificate of Svc Encl ML19296B1471980-02-0101 February 1980 Answer in Opposition to Skagitonians Against Nuclear Power 800122 Motion to Compel Responses to Interrogatories.Motion Untimely & Questions Re Seismic Profile Outside Scope of Proceedings.Certificate of Svc Encl ML19260D5181980-01-21021 January 1980 Motion in Opposition to NRC 791102 Motion to Postpone Hearings on Geology & Seismology Issues.Proposed Evidence Twice Rejected as Inconclusive.Applicants Have Failed to Carry Burden of Proof Re Issues.W/Certificate of Svc ML19262C3001980-01-18018 January 1980 Motion to Compel Applicant Answers to Skagitonians Concerned About Nuclear Power Interrogatories Re San Juan Islands Seismic Profiles.Interpretation of Atomic Energy Act Holds Applicant Liable for Matl False Statements ML19257A3971979-12-12012 December 1979 Objection to Intervenor Skagitonians Concerned About Nuclear Power Interrogatories Re Seismic Profiles of San Juan Islands.Western Geophysical Seismic Profiles Not Discovered by Util Until 1979.No False Statements Made ML19256F8401979-12-0505 December 1979 Reply to Skagitonians Concerned About Nuclear Power 791109 Proposed Findings on Financial Qualifications.Intervenor Adopted short-term View Rather than long-term Considerations Re Inflation Rates & Market Ratios.Certificate of Svc Encl ML19211A1121979-11-30030 November 1979 Reply to Skagitonians Concerned About Nuclear Power 791112 Proposed Findings of Fact.Fes & Fes Final Suppl Addressed Environ Impacts & Whole Population Issues Indiscriminately Certificate of Svc Encl ML19211A1071979-11-30030 November 1979 Reply to NRC 791005 Proposed Findings of Fact.Urges Board to Reject Recommendation 3 Contained in Finding 44,Pages 27-28. Condition Re Environ Evaluation Prior to Commencement of Const Activities Is Not Authorized by NEPA & NRC Rules ML19211A0881979-11-30030 November 1979 Reply in Opposition to Intervenor Forelaws on Board/Citizens for Safe Power Findings of Fact Re Alternative Sites & Postulated Accidents.Certificate of Svc Encl ML19262A7481979-11-20020 November 1979 Response in Opposition to Indian Tribes 791105 Supplemental Petition for ALAB-552 & ALAB-559 Review.Petitioner Failed to Raise Good Cause Re Alleged ASLB Misapplication of Late Intervention Factor.Certificate of Svc Encl ML19291B8911979-11-0909 November 1979 Pleading Re Applicants' Financial Qualifications.Total Cost of Project Exceeds Applicants' Figures.Certificate of Svc Encl ML19260B1681979-11-0808 November 1979 Response in Opposition to Skagitonions Concerned About Nuclear Power 791116 Motion to Direct Certification,Stay Proceedings & Review ASLB Actions.Detriment to Public Interest as Basis for Interlocutory Review Not Established 1983-09-28
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a BEFORE TIiE AT9IC SAF"{. AND LICENSING BOARD /
In the Matter of )
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PUGET SOUND POWER & LIGHT COMPANY, ) DCCKET NOS. 50-522 et al. ) 50-523
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(Skagit Nuclear Power Project, ) January 11, 1979 Units 1 and 2) )
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INTERVENOR TRIBES' RESPONSE TO DECEMBER 22, 1978, ORDER FOR CONFERENCE INTRODUCTION The Licensing Board Order for Conference, requiring a response by January ll, was not received by counsel for Inter-venor Tribes until earlier in the month.
Accordingly, counsel has made the best use of the limited time available in attempt-ing to review the record, as required in the Order. Counsel have traveled to Sedro Woolley and made a limited review of the Record, during library hours, and have received from Applicants, on January 5, copies of the ER and PSAR.
Because of the limited time available to respond, and because Applicants' appeal is pending with contentions by Applicant and Staff which would limit or eliminate Intervenors' participation, the Tribes have made what they consider to be a reasonable investment in time and resources prior to the January 11 deadline.
-l-790209 C 0 8'2
To avoid redundarcy, this Response deals only with those issues concerning which the Tribes intervened. The Tribes reserve the right to such additions to this Response, particu-larly with respect to citations to the record, as may appear appropriate after the January 11 deadline.
ISSUES AND CONTENTIONS I. ISSUES PRESENTLY RIPE FOR BOARD DECISION WITH NO NEED FOR FURTHER EVIDENTIARY HEARING.
With respect to the concerns of the Intervenor Tribes, there are no issues in this category.
II. ISSUES ON WHICH FURTHER EVIDENTIARY HEARING IS REQUIRED BEFORE BOARD DECISION IS APPROPRIATE.
A. Does Applicants' Proposal Pose Risks to the Treaty Indian Fishery?
- 1. Operation of the Ranney Collector System the Tribes contend that backflushing of and intro-duction of biocide into Rm.nney Wells and laterals may result in adverse impacts on juvenile salmonids at the stream / ground water interface; that the area of influence in the river bed needs to be defined in order to meet concerns raised by the State Fisheries biologist in TPPSEC hearings that burrowing salmon alevins may be damaged by infiltration velocities and silta tion; that there exists a possibility, as to which insuf-ficient evidence has been introduced, that ground water tributary to the collector fields may contribute to make-up water in unacceptable amounts; that operation of Ranney Collectors may induce infiltration from the beds of streams 2-
a and sicughs which support salmon migration, spawning, incuba-tion and rearing, again without sufficier- e.udence hacing been introduced; that introduction of biocides a t Ranney Collectors may exceed present estimates due to bacterial growth; and that the movement of the Skagit River in its alluvium, especially at flood stage, may interfere with mini-mal function of the cooling water intake system. In connec-tion with these contentions, Petitioners are also concerned that the alternative of a surface water diversion, at present abandoned by Applicants, may be reintroduced should Ranney Collectors prove insufficient. The " coercive" effect of inves tment into nuclear plants and reliance on those plants in preference to other energy alternatives would seem to militate in favor of whatever intake systems work, regardless of whether they are presently unacceptable.
Relevant discussion of Ranney Collector function and impacts is contained in the FES at pages 3-7, 5-2 and 5-19; in the FSFES at pages 4-1 through 4-7; in the ER at pages 3.3-1 and 5.1-1; in " Applicant's Memorandum Regarding Quality of Make-up Water to be Supplied by Ranney Collectorz." dated December 23, 1977; in the Affidavit of Frederick C. Mikels attached thereto; in the Affidavit of Keith E. Anderson attached thereto; in a document entitled " Final Report on Hydrogeological Survey for Bechtel Power Corporation..."
(citation to be supplied when available) ; in prefile testimony of Frederick C. Mikels dated February 22, 1978 and in a a
document entitled " Hydrologic Engineering Issues.,," (further citation to be supplied); in the Memorandum of January 24, 1974 from W. M. Borland to Bechtel concerning channel stability (further citation to be supplied); in a table of water quality data submitted to the NRC staff covering the period December 16, 1974 through June 23, 1975 (citation to be supplied); and in other relevant documents and exhibits appended to the above-cited materials.
- 2. Warm Water Hatchery The Tribes contend that the hatchery will be unacceptable because of interspecific interaction, especially with regard to predation of enhanced smolts on native fry; that hatchery stocks may compete too successfully with valuable natural stocks; that scheduling of releases to meet various hatchery constraints as well as management objectives may result in unacceptable mortality to enhance stocks; that mixed stock harvest problems may result in unacceptable pressure on native runs, and irreversible and irretrievable commitment of Skagit nacive stocks in response to fishing pressures, and inefficient use of the hatchery harvest; that fisheries investment in a warm water hatchery introduces a new element of risk because of the possibility of shutdown and other operational problems interfering with the orderly rearing and release of hatchery stocks; that introduction of hatchery stocks into the lower river and marine environment will result in manipulation of river stocks to fishing sites too low cn the river for treaty fishing access; that hatchery operation will introduce unacceptable le/els of nutrients and other wastes into the Skagit; and that the possibility of hatchery stocks concentrating harmful substances in the food chain for fish, eagles and man has not been satisfactorily dealt with.
As with the Tribes ' other contention with respect to the fisheries, many of the questions associated witl. hatchery operation have not been discussed in any meaningful way in the Record. The hatchery is generally described in FES at page 3-9, The discharge of fish food, feces and remains is dis-cussed in the FES at 5-19. Further discussion of the hatchery is found in the ER at 3.3-2 and in Appendix P. To the time that this document is being prepared, Intervenor Tribes are unable to find, in materials prepared by Applicant or Staff, a discussion of predation, competition and mixed stock prob-lems. When those citations are located, they will be supplied to the Board.
- 3. Hot Water Diffuser The Tribes contend that on the present state of the record the diffuser poses an unacceptable risk to fish popu-lations in the river due to lethal and sublethal effects, somatic and otherwise, attributable to chemical and thermal characteristics of the effluent. These effects must be evaluated alone, and in co..bination. For example, chlorides are known to be more to:.ic to salmonida with lucrease in heat. retitioners contend that there is insufficient evidence concerning fish populations at the diffuser site, concerning turbulence at the river bottom from stream bed sediments, diffuser design and diffuser jets, concerning stream velocities throughout the cross section at the dif fuser site, concerning thermal attraction for juvenile and adult salmonids during certain temperature conditions, concerning nutrient attraction, concerning concentration of harmful substances in the down-stream benthic community and the food chain, concerning the rmal shock, concerning chemical and thermal interference with migra-tion and timing of spawning activities, concerning exposure of adult salmon waiting to spawn in the main river downstream, concerning' predation of salmon fry delayed at the thermal plume because of attraction, concerning lethal times and con-centrations for juvenile salmonids at various stages of develop-ment, specifically concerning somatic effects on steelhead and Coho smolts able to maintain themselves in the river current at the mixing zone, concerning methods of monitoring and shut-down designed to prevent unexpected excesses of heat and toxins, and concerning synergistic effects of diffuser discharge in combination with construction impacts, accidental releases of radiation and other impacts attributable to plant construction and operation. Petitioners are alarmed by the assumption, based on inadequate sampling methods, that juvenile salmon only migrate at the river edge; by the suggestion that juvenile salmon will be attracted to the plume at certain periods; by the lack of detailed and specific information concerning turbulence and velocities throughout various cross-sections, correlating to toxic levels at those cross-sections; and by the complete lack of information concerning sublethal effects of heat toxins, etc.
The diffuser is discussed in a general way in the FES at page 3-7, regarding discharge at 3-21 and 3-22, regarding thermal characteristics at 5-4 through 5-8 and regarding impacts at 5-19, 5-20 and 10-2; in the FSFES with regard to fisheries impacts and other matters at pages 4-13 through 4-19; in the ER at pages 3.4-4 through 3.4-5 and 5.1-1 through 5.1-7.
Monitoring is also discussed in the ER at page 6.2-1 through
- 6. 2-25 plus attachments. There may be other citations to the diffuser which Petitioners will provide as they are located.
One of the difficulties the Tribes have experienced is the scattering of information, often conclusory in nature, through-out a voluminous record with a complex system of cross refer-encing. Testimony in the transcript which is helpful appears at 8049, et seq. and at 356A.
- 4. Construction Impacts from Riprap Improvement The Tribes contend that there has not been sufficient study as to the impacts on spawning gravels and migration pathways of improvement to existing riprap, as allowed in the Department of Agr culture's Section 7(b) Determination.
There is general discu:sion in the record to the effect that riprap will be ir.'p rove d ; to the present tir.e ccumsel have not located discussion of the specific areas of improve-ment, scope of improvement and possible adverse effects on salmon habitat.
- 5. On-site Construction Impacts The Tribes contend that there is inadequate information in the record concerning special problems of siltation in the Bacus Hill area; that evidence of extreme siltation has not been adequately evaluated and presented in the record; that there is not suf ficient hydrologic data con-cerning retention and runoff in a modified stream shed during the worst possible storm event; that the efficiency of still-ing basins during probable maximum floods in the drainage has not been a'dequately addressed; that the watershed draining into the site area is insuffiently mapped; and that the integrity of storage structures at the site during periods of probable maximum discharge needs to be computed with refer-ence to acceptable safety factors and with reference to the impact downstream of structural failure.
Siltation is discussed in the FES at page 4-8 and in the ER at pages 4.1-10 through 4.1-12; in the FSFES at 4-32 and perhaps in reference to construction plans for which citations will be supplied as they are located.
An additional contention by the Tribes with respect to construction impacts are that losses in Wiseman Creek presently quantified as trival are not trivial with reference to their impacts on Indian fishera and their householcc.
The latter concern finds documentation in the FES at page 4-8.
- 6. Containment Vessel Transportation The Tribes contend that there is insufficient evidence in the record concerning the impacts of stream improvements downstream from the plant site upon salmon pop-ulations; that containment vessel transportation may cause unacceptable interference with Indian fishing activities; that enhancement to stream flows may result in interference with salmon migration and with Indian fishing activities; that construction of a barge slip may result in unacceptable siltation; that the existence of a barge slip may result in harboring. predator problems due to interspecific interaction between slackwater predator fish and juvenile salmonids; that use of a barge slip as a recreational fishing site may result in unacceptable sport pressure upon Tribal fishing activities in the immediate area; that construction of overland transporta-tion facilities from the barge slip to the site has not been adequately evaluated with respect to salmon streams in the area; that out-migrating Coho from Hansen Creek may suf fer unacceptable predation due to the barge slip; that the loca-tion, operation and post-construction use of the barge slip may interfere wi th the Indian access to usual and accustomed fishing sites; and that the synergistic effect of the barge slips and the diffuser in the irmediate .icin.ty has not been fully definea.
Containment vessel transportatior is discussed in a docu-ment titled " Delivery of the Skagit Reactor Pressure Vessel Equipment for Puget Sound Power and Light Company," March, 1978.
Thus, discussion of questions relating to barge transportation in the various environmental documents prepared previously, and in the transcript, is necessarily somewhat limited. There is some discussion in the FSFES at pages 4-20 through 4-23.
The Tribes will provide further citations as they become apparent.
III. ISSUES ON NHICH NO EVIDENTIARY HEARINGS HAVE BEEN HELD.
A. Health Effects of Low Leval Ionizing Radiation
- 1. Genetic Isolation The Tribes contend that there has been no evidence taken, and no assessment of risk haJ, for " normal" a. d for
" accidental" releases upon a genetically isolated Irdian Community. Thus evaluation of tne risks inherent in plant operation is incomplete.
The Tribes are not aware that there is any evidence in the record in this proceeding concerning this issue.
- 2. Susceptibility of Indian Population The Tribes contend that there is no evid mce presently in the record concerning relevant health f actors unique to the Indian community which may render individual Indian people more susceptible to health effects from normal and accidental releases.
The matter is not discussed, as far as the Tribes are aware, in the record.
- 3. Lack of Baseline Health Data and Sophisticated Monitoring Systems The Tribes contend that there is insufficient baseline cata available to ellow the implementation of effective health monitoring systems ana that health monitor-ing systems proposed are not sufficiently sophisticated to insure prevention or other remedial measuros with respect to health effects on the Indian community.
Again, Petitioners are not aware of any evidence in the record concerning this issue.
B. Socio' economic Impacts The Tribes contend that they constitute unique communities with respect to non-radiological health factors, cultural values, social customs and economic characteristics; and that the record is de'.'oid of evidence concerning the impacts of plant siting upon their communities.
Mentions of Indian impact in the record are amazingly rare. In the discussion of fisheries impacts in the FES, cited previously, there is a statement to the effect that only Indians fish commercially in the plant area. In the hearing transcript at 2698, the court asked the Applicants '
counse: /h e the t Inci_ a 1
. ater richts z=cu i c 1. u l. , ud ccuc,sel repl: 2d fishi.3 ri;5tc, b 1: .: : atcr rights co re an issue. At about that location, there is discussion of Indians having been contacted, an assertion which puzzles the Tribes, since no record of any meaningful initiative by Staff or Applicants can be found.
CONCLUSION More detail concerning these various contentions will be found in the Tribes' Brief in Support of Intervention, Reply to Answers of Staff and Applicants, Response to the Licensina Board's September Requests and Brief in Opposition to Appli-cants' Appeal. Should the Licensing Board request that these contentions be presented in a different format, the Intervenor Tribes will gladly comply. The Tribes reserve the right to do so and to make additions or corrections to these contentions, as time permits.
Busted u)ba;e8G /w& %f !au it,iM9 ' D a t'e Russell W. Busch Q l '
Attorney for Upper Skagit and Sauk-Suiattle Indian Tribe 520 Smith Tower 506 Second Avenue Seattle, Washington 98104 W j Jhif h yY) wa ~
l ll, l N:
Donald S. Means d 0 D a't e /
Attorney for Swinomish Tribal Ccr.munity Swinomich Tribal Cornunity Box 277 LaConner, Washington 93257