ML19289C458
| ML19289C458 | |
| Person / Time | |
|---|---|
| Site: | Green County |
| Issue date: | 12/19/1978 |
| From: | Beverly Smith NRC OFFICE OF THE EXECUTIVE LEGAL DIRECTOR (OELD) |
| To: | |
| References | |
| NUDOCS 7901120225 | |
| Download: ML19289C458 (31) | |
Text
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NRC PUBLIC DCCUMENT ROOM 12/19/78 UNITED STATES OF AMERICA NUCLEAR REGULATORY. COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD, y9' In the Matter of
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[P'f POWER AUTHORITY OF THE STATE
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Docket No. 50-549 eP:/
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0F NEW YORX l(;
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)
Plant)
)
nt; en NRC STAFF P.ESPONSE IN SUPPORT OF,.PPLICANT'S MOTION FOR SUM.ARY DISPOSITION Pursuant to 10 CFR h2.730(c), the NRC Staff (Staff) is responding to the "Ap;:licant's Motion for Summary Disposition" (Motion) filed on December 4, 1978.
For the reasons found in the Staff's Motion for Summary Disposition, and the Staff's pre-filed testim 6ny relating to the radiological contentions, the Staff' supports the Applicant's Motion.
Although the Staff supports the Applicant's Motion, certain state-ments found in the affidavits accompanying the Applicant's Motion, while consistent with the Staff's conclusions, do not fully reflect the Staff's position en a certain contentiens. These statements are identified and the Staff's positions are set forth in the affidavits accompanying this response.
9 01 12 0;1g5
I 4.
4 The Staff's position on each contention which is the subject of Applicant's bbtien is set fceth below.
Greene County Contentien I.A - Security The Staff's Motion for Summary Disposition en this contention supports the Applicant's Motion.
Greene County Unsticulated Contenticn I.C. and Mid-Hudson nuclear Coocnen:s 5ticuiatea Ccntentica 2 - 51te Geology The Staff supports tne Applicant's Motion with regard to these contentions. As stated in Messrs. Caldwell's and Kelleher's affidavit, the Staff conclusion is ccmpatible with, but does not rest cn, the data collected frcm borings made in u dscn River referred to in affidavit "o. 1 of Jchn H. Peck the u
(Par. 7).
MHN0 Sticulated Centention 2. Cerenton Civic Association, 5:1 ulatec 5tiouiatec Contenticn i.C..
Co turcia County.
Reuter arc Caiurola Survivai Ccmmittee Contention 6. nrtnur t.
Sticulatec Cententicn S - seismi'. Ues!;n anc quarrying nctivities The Staff supports the Applicant's Motion with respect to this contention. See: Kelieber affidavit.
.-.a.
m.
- Citizens to Preserve Hudson Valley (CPHV) Sticulated Contention I.B.2 - Missile Protection The Staff supports the Applicant's Motion with respect to this i
contention.
See:
Watt Affidavit No.' 1, Greenberg, Litton
- and Rinaldi Affidavits.
CPMV Sticulated Contention I.B.a - Valve Submergence The Staff supports the Applicant's Motion with respect to this contention. As s'ated in Mr. Watt's affidavit No. 2, the Staff understands the Applicant's commitment to be that all safety related valve motors located inside containment will be located above the maximum possible water level. While the Applicant may place the valves above the water level, this is not required by the Staff.
CPHV I.B.5 - Systems Separation The Staff supports the Applicant's Motion with respect to this contention.
See Joyce and Burwell Affidavits.
Columbia County Survival Cormittee and Arthur L. Reuter, Stipulated Contention SA - Aircraft Hazards Analysis.
The Staff's Motion for Summary Disposition supports the Applicant's Motion on this contention.
. CPHV Stipulated Contention i.B.1 - External Floodino
'The Staff's Motion for Summary Disposition supports the Aoplicant's
' Motion on this contention.
CPHV Stipulated Contention I.B.6 - Occuoatior.al Exposure The Staff supports the Applicant's Motion with respect to this contention.
See:
Murphy affidavit.
CPHV I.A - Exclusion Area The Staff concluded in section 2.1.2 of the Safety Evaluation Report rclated to the construction of Greene County Nuclear Power Plant Supplement No. 1 (September 1978)
(NUREG-0283) that "the applicant has the legal means to acquire by eminent domain or other proceedings the full ownership of all site property needed to establish the exclusion area described in the applica-tion".
See: Burwell Affidavit. Accordingly, the Staff suppcrts the Applicant's motion with respect to this contention.
Respectfully submitted,
/$
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k#ouSeh fhfikC Staff Dated at Bethesda, Maryland this 19th day of December,1978.
UNITED STATES OF AMERICA NUCLEAR REGULATORY. COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of
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POWER AUTHORITY OF THE STATE
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Docket No. 50-549 0F NEW YORK
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(Greene County Nuclear Power
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Plant)
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AFFIDAVIT OF DONALD M. CALDWELL AND JOHN KELLEHER I, Donald M. Caldwell, being first duly sworn, do depose and state:
1.
I am a Geologist with the Geosciences Branch, Division of Site Safety and Environmental Analysis, Office of Nuclear Reactor Regulation, U. S.
Nuclear Regulatory Commission, Washington, D. C.
20555.
2.
As part of my duties I participated in the review of the application of the Power Authority of the ; tate of New York for a construction permit to build the Greene County Nuclear Power Plant.
I, John Kelleher, being first duly sworn, do depose and state:
3.
I am a Seismologist with the Geosciences Branch, Division of Site Safety and Environmental Analysis, Office of Nuclear Reactor Regulation, U. S. Nuclear Regulatory Commission, Washington, D. C.
20555.
4.
As part of my duties I participated in the review of the application of the Power Authority of the State of New York for a construction pennit to build the Greene County Nuclear Power Plant.
.. 5.
The statement which follows concerns G.reene County et al., Unstipulated Contention I.C. and Shirley A. Brand and Mid-Hudson Nuclear Opponents' Stipulated Contention 2.
6.
We hereby incorporato into this affidavit our testimony filed on
. November 8,1978 concerning Greene County et al_., Unstipulated Contention I.C.
and Shirley A. Brand and Mid-Hadson Nuclear Opponents' Stipulated Contention 2 in its entirety, and the statements of professional qualifications attached thereto.
7.
After reviewing Mr. Peck's affidavit No.1 submitted with Applicant's Motion for Summary Disposition, we find that the affidavit is consistent with our testimony incorporated by reference herein; however, we want to clarify below the Staff's position concerning the borings made in the Hudson River.
8.
As stated in the Staff's testimony (Caldwell and Kelleher), we have concluded that the geologic section beneath the Hudson River is similar to that in the site area, and that capable faults do not exist beneath the River. This conclusion is based on an understanding of the tectonic evolution of the region, an evaluation of the regional seismicity, and the results of geological investigations at the site and in the surrounding vicinity.
Our conclusion is compatible with that of Mr. John H. Peck as stated in his affidavit attached to Applicant's Motion for Summary Disposition, but it does not rest on the data collected from borings made in the Hudson River referred to in paragraph 7 of Mr. John H. Peck's affidavit No.1.
. b'e hereby certify that the above statement is true and correct to the best of our knowledge and belief.
]$ll 1 L;?j Donald M. Caldwell N
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John Kelleher i
Subscribed and sworn to before.c this /f 3 day of D E(f cA'9 F E
, 1978.
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UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of
)
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POWER AUTHORITY OF THE STATE
)
Docket No. 50-549 0F NEW YORK
)
)
(Greene County Nuclaar Power Plant)
AFFIDAVIT OF JOHN KELLEHER I, John Kelleher, being first duly sworn, do depose and state:
1.
I am a Seismologist with the Geosciences Branch, Division of Site Safety and Environmental Analysis, Office of Nuclear Reactor Regulation, U. S. Nuclear Regulatory Commi sion, Washington, D. C.
20555.
a 2.
As part of my duties I participated in the review of the application of the Power Authority of the State of New York for a construction permit to build the Greene County Nuclear Power Plant.
3.
The statement which follows concerns Cementon Civic Association, Stipulated Contention I.C., Columbia County, Stipulated Contention 6, and Arthur L. Reuter and Columbia County Survival Comnittee, Stipulated Contention 8.
. 4.
I hereby incorporate into this affidavit my testimony filed on November 8,1978 concerning Cementon Civic Association, Stipulated Contention I.C., Columbia County, Stipulated Contention 6, and Arthur L.
Reuter and Columbia County Survival Committee, Stipulated Contention 8 in its entirety, and the statement of professional qualifications attached thereto..
5.
Af ter independently reviewing affidavit No. 2 of Mr. John H. Peck submitted with Applicant's Motion for Summary Disposition, I find that Applicant's affidavit is consistent with those stated by me in my testimony incorporated by reference herein.
I hereby certify that the above statement is true and correct to the best of my knowledge and belief.
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Johq, Kell eher Subscribed and sworn to before me this /r-/ > day of N): - e,. - su, j
, 1978.
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Notary Public/
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UNITED STATES OF AMERICA
' NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of
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POWER AUTHORITY OF THE STATE
)
Docket No. 50-549 OF NEW YORK
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(Greer a County Nuclear Power Plant)
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AFFIDAVIT NO.1 OF JAMES J. WATT I, James J. Watt, being first duly sworn, do depose and state:
- 1. I am a Reactor Engineer in the Reactor Systems Branch, Division of Systems Safety, Office of Nuclear Reactor Regulation, U.S. Nuclear Regulatory Commission, Washington, D.C.
20555.
- 2. As part of my duties I participated in the review of the application of the Power Authority of the State of New York for a construction permit to build the Greene County Nuclear Power Plant.
'!. The statement which follows concerns Citizens to Preserve the Hudson Valley, Stipulated Contention I.B.2.
- 4. I prepared those portions of the " Supplemental Testimony of NRC Staff in Response to Citizens to Preserve the Hudson 1 alley, Stipulated Contention I.B.2,"
which relate to missile protection inside containment and the statement of professional qualifications attached thereto.
~
. 5. I hereby incorporate into this affidavit my testimony filed on November 7, 1978 concerning Contention I.B.2 in its entiretv, and the statement of professional qualifications attached thereto.
- 6. After reviewing those portions of affidavit No. I of Mr. William Willoughby, II submitted with Applicant's Motion for Summary Disposition which relate to missile protection inside containment, I find that the affidavit is consistent with my testimony incorporated by reference herein.
I hereby certify that the above statement is true and correct to the best of my knowledge and belief.
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. James J fVatt Subscribed and sworn to before me this /f" day of /Cuww' 1978.
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a Notary Public My Commission expires:
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UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of
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POWER AUTHORITY OF THE STATE
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Docket No. 50-549 OF NEW YORK
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(Greene County Nuclear Power Plant)
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AFFIDAVIT OF MARCUS GREENBERG I, Marcus Greenberg, being first duly sworn, do depose and state:
- 1. I am a Senior Systems Engineer in the Auxiliary Systems Branch, Division of Systems Safety, Office of Nuclear Reactor Regulation, U.S. Nuclear Regulatory Commission, Washington, D.C.
20555.
- 2. As part of my duties I participated in the review of the application of the Power Authority of the State of New York for a construction permit to build the Greene County Nuclear Power Plant.
- 3. The statement which follows concerns Citizens to Preserve the Hudson Valley, Stipulated Contention I.B.2.
- 4. I prepared portions of the " Supplemental Testimony of NRC Staff in Response to Citizens to Preserve the Hudson Valley, Stipulated Contention I.B.2" relating to missile protection outside containment filed on November 7,1978 and the state-ment of professional qualifications attached thereto.
. 5. I hereby incorporate into this affidavit my supplemental testimony in its entirety, and statement of professional qualifications.
- 6. After reviewing affidavit No. I of Mr. William Willoughby, II submitted with Applicant's Motion for Summary Disposition, I find the affidavit is consistent with my tes~
ony incorporated by reference herein.
I hereby certify that the above statement is true and correct to the best of my knowledge and belief.
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Marcus Greenberg Subscribed and sworn to before me this/9 [?-day of DEEG418GL,1978.
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UNITED STATl'S OF AMERICA
. NUCLEAR REGULATORY COMMISSION BEFORE TIIE ATOMIC SAFETY AND LICFNSING BOARD In the Matter of
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POWER AUTHORITY OF THE STATE
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Docket No. 50-549 OF NEW YORK
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(Greene County Nuclear Power
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Plant)
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AFFIDAVIT OF FELIX LITTON I, Felix Litton, being first duly sworn, do depose and state:
1.
I am a Senior Materials Engineer in the Material Engineering Branch, Office of Nuclear Reactor Regulation, U.S. Nuclear Regulatory Commission, Washington, D.C.
20555.
- 2. As part of my duties I participated in the review of the application of the Power Authority of the State of New York for a construction permit to build the Greene County Nuclear Power Plant.
- 3. The statement which follows concerns Citizens to Preserve the Hudson Valley, Stipulated Contention I.B.2.
- 4. I prepared those portions of the " Supplemental Testimony of NRC Staff In Response to Citizens to Preserve the Hudson Valley, Stipulated Contention I.B.2,"
which relate to the reactor coolant pump fly wheel and the statement of professional qualifications attached thereto.
. 5. I hereby incorporate into this affidavit my testimony filed on November 7, 1978 concerning Contention 1.B.2 in its entirety, and the statement of professional qualifications attached thereto.
- 6. After reviewing those portions of Mr. William Willoughby's affidavit No. I submitted with Applicant's Motion for Summary Disposition which relate to the reactor coolant pump I find that the affidavit is consistent with my testimony inccrporated by reference herein.
I hereby certify that the acove statement is true and correct to the best of my knowledge and oelief.
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f Felix Litton Subscribed and sworn to before me this /5 " day of 0w,6v,1978.
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My Commission expires:h
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UNITED STATES OF AMERICA NUCLEAR REGULATORY COMM.JSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of
)
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POWER AUTHORITY OF THE STATE
)
Docket No. 50-549 OF NEW YORK
)
)
(Greene County Nuclear Power
)
Plant)
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AFFIDAVIT OF FRANK RINALDI I, Frank Rinaldi, being first duly sworn, do depose and state:
- 1. I am a Structural Engineer in the Structural Engince
.ig Branch, Office of Nuclear Reactor Regulations, U.S. Nuclear Regulatory Commission, Washington, D.C.
20555.
- 2. As part of my duties I participated in the review of the application of the Power Authority of the State of New York for a construction permit to build the Greene County Nuclear Power Plant.
- 3. The statement which follows concerns Citizens to Preserve the Hudson Valley, Stipulated Contention I.B.2.
- 4. I prepared those portions of the " Supplemental Testimony of NRC StJf In Response to Citizens to Preserve the Hudson Valley, Stipulated Contention I.B.2,"
which relate to the adequacy of barrier protection against missiles and the statement of professional qualifications attached thereto.
- 5. I hereby incorporate into this affidavit my testimony filed on November 7, 1978 concerning Contention I.B.2 in its entirety, and the statement of professional qualifications attached thereto.
- 6. After reviewing those portions of affidavit No. I of Mr. William Willoughby, II, submitted with Applicant's Motion for Summary Disposition which relate to the adequacy of barrier protection, I find that the affidavit is consistent with my testimony incorporated by reference herein.
I hereby certify that the above statement is true and correct to the best of my knowledge and belief.
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Frank Rinaldi Subscribed and sworn to before me this /YD day of DEdEN BB?-
,1978.
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UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICEMSING BOARD In the Matter of
)
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POWER AUTHORITY OF THE STATE
)
Docket No. 50-549 OF NEW YORK
)
)
(Greene County Nuclear Power Plant)
)
AFFIDAVIT NO. 2 OF JAMES J. WATT I, James J. Watt being first duly sworn, do depose and state:
- 1. I am a Reactor Engineer in the Reactor Systems Branch, Division of Systems Safety, Office of Nuclear Reactor Regulation, U.S. Nuclear Regulatory Commission, Washington, D.C.
20555.
- 2. As part of my duties I participated in the review of the application of the Power Authority of the State of New York for a construction permit to build the Greene County Nuclear Power Plant.
- 3. The statement which follows concerns Citizens to Preserve the Hudson Valley, Stipulated Contention I.B. 4.
- 4. I prepared the " Supplemental Testimony of NRC Staff In Response to Citizens to Preserve the Hudson Valley, Stipulated Contention I.B.4 (valve submergence) a and the statement of professional qualifications attached thereto filed on November 7, 1978.
. 5. I hereby incorporate into this affidavit my supplemental testimony and statement of professional qualifications.
- 6. After reviewing affidavit No. 2 of Mr. William Willoughby, II, submitted with Applicant's Motion for Summary Disposition, I find that the affidavit is consistent with my testimony incorporated by reference herein except for the statements relating to the placement of the valves.
- 7. 'l te Staff has reviewed the Applicant's responses to NRC questions 22.11 and 212.35 and found a commitment to only place safety related valve motors located inside containment above the maximum possible water level. The applicant is free to place the valves above the maximum possible water level, but this is not required by the NRC.
I hereby certify that the above statement is true and correct to the best of my knowledge and belief.
~
't' g,p ames J. Watt Subscribed and sworn to before me this /f
- day of du a,-ed,1978.
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UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of
)
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POWER AUTHORITY OF THE STATE
)
Docket No. 50-549 OF NEW YORK
)
)
(Greene County Nuclear Power
)
Plant)
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AFFIDAVIT OF JOSEPH P. JOYCE I, Joseph P. Joyce, being first duly sworn, do depose and state:
- 1. I am a Reactor Engineer in the Instrumentation and Control System Branch, Office of Nuclear Reactor Regulation, U.S. N iclear Regulatory Commission, Washington, D. C.
20555.
- 2. As part of my duties I participated in the review of the application of the Power Authority of the State of New York for a construction permit to build the Greene Ccunty Nuclear Power Plant.
- 3. The statement which follows concerns Citizens to Preserve the Hudson Valley, Stipulated Contention I.B. 5.
- 4. I prepared those portions of the " Supplemental Testimony of NRC Staff In Response to Citizens to Preserve the Hudson Valley, Stipulated Contention I.B.5,"
which relate to physical separation of the electrical system and the statement of professional qualifications attached thereto.
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- 5. I hereby incorporate into this affidavit my testimony filed on November 7, 1978 concerning Contention I.B.5 in its entirety, and the statement of professional qualifications attached thereto.
- 6. After reviewing those portions of affidavit No. 3 of Mr. William Willoughby, II,
,. submitted with Applicant's Motion for Summary Disposition which relate to physical separation of the electrical system, ' find that the affidavit is consistent with my testimony incorporated by reference herein.
I hereby certify that the above statement is true and correct to the best of my knowledge and belief.
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/ Joseph P. Joyce' Subscribed and sworn to before me this/7 78 day of PEMNSFA.,1978.
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Notary Public
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My Commission expires:
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UNITED STATES OF AMERICA NUCLEAR REGULATORY CO?.011SSION BEFORE TILE ATOMIC SAFETY AND LICENSING BOARD In the Matter of
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POWER AUTHORITY OF THE STATE
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Docket No. 50-549 OF NEW YORK
)
)
(Greene County Nuclear Power
)
Plant)
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AFFIDAVIT NO.1 OF SPOTTSWOOD B. BUR! ELL I, Spottswood B. Burwell, being first duly sworn, do depose and state:
- 1. I am a Senior Project Manager, Light Water Reactor Branch No. 2, Division of Project Management, Office of Nuclear Reactor Regulation, U.S. Nuclear Regulatory Commission, Washington, D. C.
20555.
- 2. The statement which follows concerns Citizens to Preserve the Hudson Valley, Contention I.B. S.
- 3. As part of my duties I prepared the Safety Evaluation Report related to construction of Greene County Nuclear Power Plant, Power Authority of the State of New York (September,1977) and Supplement No.1 (September,1978) thereto and I am familiar with the contents thereof.
4.
I prepared those portions of the " Supplemental Testimony of NRC Staff In Response to Citizens to Preserve the Hudson Valley, Stipulated Contention I.B.5,"
which relate to the Staff's consideration of physical separation of safety systems
, other than the electrical system and the statement of professional qualifications attached thereto.
- 5. I hereby incorporate into this affidavit my testimony filed on November 7, 1978 concerning Contention I.B.5 in its entirety, and the statement of professional qualifications attached therr.o.
- 6. After reviewing those portions of affidavit No. 3 of Mr. William Willoughby, II, submitted with Applicant's Motion for Summary Disposition which relate to physical separation of safety systems other than the electrical system, I find that the affidavit is consistent with my testimony incorporated by reference herein.
I hereby certify that the above statement is true and correct to the best of my knowledge and belief.
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Spottswood B. Burwell i
Subscribed and sworn to before me this/fM day of DEdFmSETs',1978.
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UNITED STATES OF AMERICA NUCLEAR REGULATORY CGMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of
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POWER AUTHORITY OF THE STATE
)
Docket No. 50-549 0F NEW YORK
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,(Greene County Nuclear Power
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Plant)
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AFFIDAVIT OF THOMAS D. MURPHY I, Thomas D. Murphy, being first duly sworn, do depose and state-1.
I am section leader of the Radiation Protection Section, Radiological Assessment Branch, Division of Site Safety and Environmental Analysis, Office of Nuclear Reactor Regulation, U. S. Nuclear Regulatory Commission, Washington, D. C.
20555.
2.
As part of my duties I participated in the review of the application of the Power Authority of the State of New York for a construction permit to build the Greene County Nuclear Power Plant.
3.
The statement which follows concerns Citizens to Preserve the Hudson Valley, Stipulated Contention I.B.6.
4.
I hereby incorporate into this affidavit my testimony filed on November 8,1978 concerning Contention I.B.6 in its entirety, and the statement of professional qualifications attached thereto.
-2_
5.
Af ter independently reviewing af fidavit 110. 3 of for. Andrew W. Burchas submitted with Applicant's tiotion for Summary Disposition, I find that Applicant's affidavit is consistent with those stated by me in my testimony incorporated by reference herein.
I hereby certify that the above statement is true and correct to the best of my knowledge and belief.
1 ! w :d 0/L J f Thomas D. Murphy "g
Subscribed and s.orn to before me this /f # def of
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. 1978.
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UNITED STATES OF Ah! ERICA NUCLEAR REGULATORY COhD11SSION BEFORE THE ATOh11C SAFETY AND LICENSING BOARD In the hiatter of
)
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POWER AUTHORITY OF THE STATE
)
Docket No. 50-549 OF NEW YORK
)
)
(Greene County Nuclear Power Plant)
)
AFFIDAVIT NO. 2 OF SPOTTSWOOD B. BURWELL I, Spottswood B. Burwell, being first duly sworn, do depose and state:
- 1. I am a Senior Project hianager, Light VJater Reactor Branch No. 2 Division of Project hianagement, Office of Nuclear Reactor Regulation, U.S. Nuclear Regulatory Commission, Washington, D.C.
20555.
- 2. The statement which follows concerns Citizens to Preserve the Hudson Valley, Contention I. A.
- 3. As part of my duties I prepared the Safety Evaluation Report related to con-struction of Greene County Nuclear Power Plant, Power Authority of the State of New York (September,1977) and Supplement No.1 (September,1978) thereto and I certify that they are true and accurate to the best of my knowledge.
- 4. I hereby incorporate into this affidavit,y statement of professional qualifi-cations attached to the " Supplemental Testimony of NRC Staff in Response to
, Citizens to Preserve the Hudson Valley, Stipulated Contention I.B.5 (Systems Separation) filed on November 7, '978.
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,Spottswood B. Burwell Subscribed and sworn to before me this /f 78 day of Deace3 CE,1978.
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. r NUCLEAR REGULATORY CO*2!SSION SEFORE THE ATC7:C SAFETY AN3 I!cENSI:;G E0ARD In the Patter of
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POWER AUTHCRITY OF THE STATE OF
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Cocket No. 50-5 9 NEW YORK i
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(Greene County Nuclear Pcaer Plant))
C :.o.T I.c l e i : n= c=:u.Ie.c en v.
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u I hereo.f certiry tha t copies ci n..,C S..--
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MOTION FOR SL:n?.ARY DISPOSITICN, in the above-capticr.ed preceecir.g have been served cn the follcaing by ce;osit in the Unitec States rail, firs class, cr, as incicated by an asterisk, through deposit in tre ';uclear Regulatory Ceanissicn's internal mail system, this 19th cay of Decercer,1978.
Andrew C. Goodhope, Esq., Chairman
- Ms. Rosemary S. Ocaler Atcmic Safety and Licensing Ecard Cxecutive Director 3320 Estelle Terrace New Ycrk State Ccnsumer Wheaten, Maryland 20305 Proteccion Scard 93 'a'ashington Avenue Dr. George A. Ferguson Albany, New York 12210 Professor of Nuclear Encineerinc Howard University Lewis R. Bennett, Esq.
Washington, D. C.
2CC01 Assistant Ger.eral Parager -
General Ccunsel Dr. Richard F. Cole
- Peaer Authority of the State Atomic Safety and Licensing Ecard of New York U.S. Nuclear Regulatory Ccamissicn 10 Colurbus Circle Washingtcn, D. C.
20555 New York, New Ycrk 10010 Arthur L. Reuter, Esq.
Tcwn of Athens Attorney at Law c/o Alan Francis Ruf, Esq.
Sharpe's Landing Meadow, Ruf and Lalcr, P.C.
Germantcan, New York 12526 8 Reed Street Coxsackie, New York 12051 Mr. Peter D. G. Erown Chairman Columbia Ccunty Sarvival Mid-Hudson Nuclear Oppcnents Cenmittee P.O. Box 555 P.O. Box 27 New Paltc, New Ycrk 12551 Gerrantcwn, New York 12525
e 4B 6
_ George J. Pulver, Jr., Esq.
Edward G. Cloke, Esq.
Bagley, Chadderdon, Pulver Steenbergh & Clcke
& Stiefel 28 Second Street 302 Main Street Athens, New York 12015 P.O.
&]x 486 Catskill, New York 12414 Jeffrey Cohen, Esq.
New York State Energy Office Citizens to Preserve the Hudsor.
Swan Street Building Core 1, Second Floor Valley
- c/o Robert J. Kafin, Esq.
Albany, New York 12223 Miller,. Mannix, Lemery &
K3 fi n, P.C.
Daniel Riesel, Esq.
Il Chester Street Winer, Neuburger & Sive Glenns Falls, New York 12801 425 Park Av:nue New York,few York 10022
' Nancy Spiegel, Esq.
Staff Counsel, State of New York Public Service Comnission Empire State Plaza Albany, New York 12223 Village of Catskill c/o Daniel K. Lalor, Esq.
Meadow, Ruf and Lalor, P.C.
Albert K. Butzel, Esq.
Butlel and Kass 8 Reed Street Coxsackie, New York 12051 45 Rockefeller Plaza Suite 2350 Algird F. White, Jr., Esq.
New York, New York 10020 DeGraff, Foy, Conway and Honorable Edward D. Cohen Holt-Harris 90 State Street Presiding Examiner Albany, New York 12207 Public Service Ccmmission Empire State Plaza William J. Spampinato, Esq.
Agency Building Rosenberg & Spampinato Albany, New York 12223 443 Warren Street Hudson, New York ' '.S34 Edward R. Patrick, Esq.
Assistant Counsel for Energy New York State Department of Anthony Scott, Mayor Environmental Conservation Village of Athens 93 N. Washir.gton Street 50 Wolf Road Athens, New York 12105 Albany, New York 12233 Mr. thn NickolitL5 Honorable Donald Carson Cementon Civic Association Associate Hearing Examiner Department of Environmental 70 Short Street Cementen, New York 12415 Conservation 50 Wolf Road Albany, New York 12233
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- Atomic Safe.y and Licensing Board Panel U.S. fluclear Regulatory Commission Washington, D. C. 20555
- Atomic Safety and Licensing Appeal Panel U.S.
fbclear Regulatory Commission Washington, D. C. 20555
- Docketing and Service Section Office of toe Secretary U.S.
fbclear Regulatory Commission Washington, D. C. 20555
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Barry H. Smith 6
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