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Category:INTERROGATORIES; RESPONSES TO INTERROGATORIES
MONTHYEARML20148P2031988-04-0404 April 1988 NRC Staff Response to Supplemental Interrogatories from TMI Alert/Susquehanna Valley Alliance.* Related Correspondence ML20150F8851988-03-30030 March 1988 Answers to Sva/Tmi Alert Second Set of Interrogatories to Util.* Submits Responses to Sva/Tmi Alert 880315 Interrogatories.W/Certificate of Svc.Related Correspondence ML20150D0561988-03-21021 March 1988 Valley Alliance/Tmi Alert Second Set of Interrogatories & Request for Production of Documents to NRC Staff.* Certificate of Svc Encl.Related Correspondence ML20150D0441988-03-21021 March 1988 Valley Alliance/Tmi Alert Second Set of Interrogatories & Request for Production of Documents to Gpu Nuclear.* Related Correspondence ML20149N0461988-02-22022 February 1988 NRC Staff Response to Interrogatories from TMI Alert/Sva.* Responds to Interrogatories Filed by TMI Alert/Sva on 880207.NRC Waived Requirement for Order from Presiding Officer Directing Discovery.Related Correspondence ML20196F1181988-02-22022 February 1988 Responses to NRC Interrogatories.* All Responses Re Disposal of Accident Generated Water by Intervenor F Skolnick. Certificate of Svc Encl.Related Correspondence ML20149M8671988-02-22022 February 1988 Licensee Response to Sva/Tmi Alert Request for Production of Documents.* Documents Re Disposal of accident-generated Water Will Be Made Available for Insp & Copying as Listed. Certificate of Svc Encl.Related Correspondence ML20149M8621988-02-19019 February 1988 Licensee Answers to Sva/Tmi Alert Interrogatories to Gpu Nuclear Corp.* Responds to Sva/Tmi Alert Interrogatories Re Disposal of accident-generated Water.Related Correspondence ML20149K8801988-02-15015 February 1988 Valley Alliance/Tmi Alert Responses to Licensee Interrogatories & Request for Documents.* Info Will Be Provided Upon Availability & Listed Documents Being Sent to Licensee.W/Certificate of Svc ML20196D3731988-02-0303 February 1988 Valley Alliance/Tmi Alert Interrogatories & Request for Production of Documents to Util.* Original Documents Identified in Answers to Listed Interrogatories Requested.W/Certificate of Svc.Related Correspondence ML20196D3921988-01-31031 January 1988 Valley Alliance/Tmi Alert Interrogatories & Request for Production of Documents to Nrc.* NRC Must Produce Any Addl Documents Responsive to Request.Certificate of Svc Encl.Related Correspondence ML20148U5331988-01-29029 January 1988 Licensee Interrogatories & Request for Production of Documents to TMI Alert & Susquehanna Valley Alliance.* Joint Intervenors Should Produce Original Documents Noted in Interrogatories.W/Certificate of Svc.Related Correspondence ML20235B6151987-09-18018 September 1987 NRC Staff Sixth Supplemental Response to Gpu Nuclear Corp First Set of Interrogatories.* Staff Intends to Call C Barus as Rebuttal Witness.W/Certificate of Svc.Related Correspondence ML20214S0551987-06-0202 June 1987 Gpu Nuclear Response to NRC Staff Request for Production of Documents.* Request 1 Overly Broad,Burdensome & of Limited Relevance.Request 2 Vague.Related Correspondence ML20207S5861987-03-18018 March 1987 NRC Staff Response to Gpu Nuclear Corp Second Set of Interrogatories to NRC Staff & Fourth Request for Production of Documents.* W/Certificate of Svc.Related Correspondence ML20212N4831987-03-0505 March 1987 Gpu Nuclear Corp Response to NRC Staff Second Request for Documents.* Notes of Interviews Conducted by Stier or Associates & Certificate of Svc Encl.Related Correspondence ML20212K3891987-03-0303 March 1987 NRC Response to Gpu Nuclear Corp Third Request for Production of Documents.* Certificate of Svc Encl.Related Correspondence ML20212F9481987-03-0202 March 1987 Gpu Nuclear Corp Second Set of Interrogatories to NRC Staff & Fourth Request for Production of Documents.* NRC Should Produce All Documents Required to Be Identified by Listed Interrogatories.W/Certificate of Svc.Related Correspondence ML20211F5331987-02-19019 February 1987 Gpu Nuclear Corp Response to NRC Second Set of Interrogatories.* Persons Attending 830323 Meeting Re R Parks Public Statement Listed.Certificate of Svc Encl. Related Correspondence ML20211D6811987-02-19019 February 1987 NRC Fifth Supplemental Response to Gpu Nuclear Corp First Set of Interrogatories & Request for Production of Documents.* Affidavit of MT Masnik Encl.Related Correspondence ML20212R6771987-01-29029 January 1987 NRC Staff Second Set of Interrogatories & Request for Documents to Gpu Nuclear Corporation.* Requests Info on 830323 Meeting W/Bechtel & Transfer or Removal of R Parks. W/Certificate of Svc.Related Correspondence ML20212R6501987-01-27027 January 1987 Gpu Nuclear Corp Third Request for Production of Documents.* W/Certificate of Svc.Related Correspondence ML20207P7141987-01-13013 January 1987 Gpu Second Request for Production of Documents.* Gpu Requests That NRC Identify Title,General Subj Matter,Date, Author & Reason Why Documents Requested Being Withheld. Related Correspondence ML20207N6721987-01-0909 January 1987 NRC Staff Fourth Supplemental Response to Gpu Nuclear Corp First Set of Interrogatories & Request for Production of Documents.* Certificate of Svc Encl.Related Correspondence ML20207N7081987-01-0909 January 1987 Second Supplemental Response of Gpu Nuclear Corp to NRC Staff First Request for Production of Documents.* Certificate of Svc Encl.Related Correspondence ML20207N6911987-01-0909 January 1987 Third Supplemental Response of Gpu Nuclear Corp to NRC Staff First Set of Interrogatories.* Related Correspondence ML20207L9041987-01-0505 January 1987 NRC Staff Third Supplemental Response to Gpu First Set of Interrogatories & Request for Production of Documents.* MT Masnik & Me Resner 870105 Affidavits & Certificate of Svc Encl.Related Correspondence ML20207C4711986-12-22022 December 1986 Second Supplemental Response to NRC First Set of Interrogatories Re Util Organization & Witnesses.Certificate of Svc Encl.Related Correspondence ML20212D6651986-12-15015 December 1986 NRC Staff Second Supplemental Response to Gpu Nuclear Corp First Set of Interrogatories & Request for Production of Documents.* Unexecuted Affidavit of RA Meeks & Certificate of Svc Encl.Related Correspondence ML20211K2771986-11-13013 November 1986 Response to First Request for Production of Documents Re Basis for R Parks Removal from Test Working Group on 830223 & Parks Involvement W/Quiltech Co.Certificate of Svc Encl. Related Correspondence ML20215M9901986-10-29029 October 1986 First Supplemental Response to NRC First Set of Interrogatories Re Suspension of R Parks Employment at Facility Site.W/Certificate of Svc.Related Correspondence ML20211G5101986-10-28028 October 1986 Response to Interrogatories Re Bechtel Oct 1984 Rept, Rept of Bechtel North American Power Corp Re Allegations of Rd Parks & Eh Stier 831116 Rept, TMI-2 Rept-Mgt & Safety Allegations. Related Correspondence ML20215D8681986-10-0909 October 1986 First Request for Production of Seven Categories of Documents Re Basis for R Parks Removal from Testing Working Group on 830223 & Investigation of Parks Involvement W/ Quiltech Co.Related Correspondence ML20215D8781986-10-0909 October 1986 First Set of Interrogatories for Documents Re Identification of Util Employees Providing or Receiving Info Leading to Interrogation of Rd Parks Re Quiltech Co.Related Correspondence ML20215D8821986-10-0909 October 1986 Supplemental Response to Gpu First Set of Interrogatories & First Request for Documents Re Enforcement Action EA-84-137. Supporting Documentation & Certificate of Svc Encl.Related Correspondence ML20214R6291986-09-23023 September 1986 Response to Util First Set of Interrogatories & Partial Response to First Request for Production of Documents. Affidavits Encl.Related Correspondence ML20209G1681986-09-0404 September 1986 First Request for Production of Documents Identified in NRC Responses to Listed Interrogatories,Including Interrogatory 1(e) Re Protected Activity Engaged in by Parks Resulting in Alleged Discrimination Against Parks.W/Certificate of Svc ML20209G3181986-09-0404 September 1986 First Set of Interrogatories Re Removal of Rd Parks from Employment.W/Certificate of Svc ML20211E6311986-06-11011 June 1986 First Supplemental Answer to NRC First Interrogatories & Request for Production of Documents to C Husted.Rl Long Notes Produced Indicating Husted Met W/J Herbein on 811005. Related Correspondence ML20211E6601986-06-11011 June 1986 First Supplemental Answers to TMI Alert First Request for Production of Documents & First Interrogatories to C Husted. Rl Long Notes of 820527 Conversation W/Newton Encl.W/ Certificate of Svc. Related Correspondence ML20197C1931986-05-0808 May 1986 Answers to TMI Alert,Inc 860501 Supplemental Interrogatories.Certificate of Svc Encl.Related Correspondence ML20203L6011986-04-28028 April 1986 Responses to TMI Alert First Request for Production of Documents & First Interrogatories.Certificate of Svc Encl. Related Correspondence ML20141J3171986-04-23023 April 1986 Response to Util First Interrogatories & Request for Production of Documents Re Senior Reactor Operator Licensing Exams.Certificate of Svc Encl.Related Correspondence ML20141J4071986-04-23023 April 1986 Response to Husted First Interrogatories & Request for Production of Documents Re Alleged Cheating During Apr 1981 OL Exams.Certificate of Svc Encl.Related Correspondence ML20155F5471986-04-18018 April 1986 Supplemental Response to NRC Interrogatories 3 & 4 & Request for Production of Documents to Util.Certificate of Svc Encl. Related Correspondence ML20203B4121986-04-15015 April 1986 Response to First Interrogatories & Request for Production of Documents.Certificate of Svc Encl.Related Correspondence ML20203B6311986-04-14014 April 1986 Answers to Staff First Interrogatories & Request for Production of Documents.Related Correspondence ML20202G5381986-04-0909 April 1986 First Interrogatories & Request for Production of Documents to TMI Alert Re Apr 1981 Senior Reactor Operator Exam. Certificate of Svc Encl.Related Correspondence ML20202G7361986-04-0909 April 1986 Response to TMI Alert,Inc First Request for Production of Documents & First Interrogatories.Certificate of Svc Encl. Related Correspondence ML20202G6651986-04-0808 April 1986 C Husted Answers to NRC First Interrogatories & Request for Production of Documents.Certificate of Svc Encl.Related Correspondence 1988-04-04
[Table view] Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20210B8491999-07-21021 July 1999 Exemption from Certain Requirements of 10CFR50.54(w),for Three Mile Island Nuclear Station Unit 2 to Reduce Amount of Insurance for Unit to $50 Million for Onsite Property Damage Coverage ML20206D4141999-04-20020 April 1999 Exemption from Requirements of 10CFR50,App R,Section III.G.2 Re Enclosure of Cable & Equipment & Associated non-safety Related Circuits of One Redundant Train in Fire Barrier Having 1-hour Rating ML20206T7211999-02-11011 February 1999 Memorandum & Order (CLI-99-02).* Denies C George Request for Intervention & Dismisses Subpart M License Transfer Proceeding.With Certificate of Svc.Served on 990211 ML20198A5111998-12-11011 December 1998 Comment Opposing Proposed Rule 10CFR50.65 Re Requirements for Monitoring Effectiveness of Maintenance at Nuclear Power Plants.Proposed Rulemaking Details Collaborative Efforts in That Rule Interjects Change ML20154G2941998-09-17017 September 1998 Transcript of 980917 Public Meeting in Rockville,Md Re License Transfer of TMI-1 from Gpu Nuclear,Inc to Amergen. Pp 1-41 ML20199J0121997-11-20020 November 1997 Comment on Pr 10CFR50 Re Financial Assurance Requirements for Decommisioning Nuclear Power Reactors.Three Mile Island Alert Invokes Comments of P Bradford,Former NRC Member ML20148R7581997-06-30030 June 1997 Comment on NRC Proposed Bulletin 96-001,suppl 1, Control Rod Insertion Problems. Licensee References Proposed Generic Communication, Control Rod Insertion, & Ltrs & 961022 from B&W Owners Group ML20078H0431995-02-0101 February 1995 Comment Opposing Proposed Rule 10CFR50 Re Shutdown & Lowpower Operations for Nuclear Reactors ML20077E8231994-12-0808 December 1994 Comment Supporting Proposed Rules 10CFR2,51 & 54 Re Rev to NRC NPP License Renewal Rule ML20149E2021994-04-20020 April 1994 R Gary Statement Re 10 Mile Rule Under Director'S Decision DD-94-03,dtd 940331 for Tmi.Urges Commissioners to Engage in Reconsideration of Author Petition ML20065Q0671994-04-0707 April 1994 Principal Deficiencies in Director'S Decision 94-03 Re Pica Request Under 10CFR2.206 ML20058A5491993-11-17017 November 1993 Exemption from Requirements in 10CFR50.120 to Establish, Implement & Maintain Training Programs,Using Sys Approach to Training,For Catorgories of Personnel Listed in 10CFR50.120 ML20059J5171993-09-30030 September 1993 Transcript of 930923 Meeting of Advisory Panel for Decontamination of TMI-2 in Harrisburg,Pa.Pp 1-130.Related Documentation Encl ML20065J3461992-12-30030 December 1992 Responds to Petition of R Gary Alleging Discrepancies in RERP for Dauphin County,Pa ML20065J3731992-12-18018 December 1992 Affidavit of Gj Giangi Responding to of R Gary Requesting Action by NRC Per 10CFR2.206 ML20198E5581992-12-0101 December 1992 Transcript of Briefing by TMI-2 Advisory Panel on 921201 in Rockville,Md ML20210D7291992-06-15015 June 1992 Exemption from Requirements of 10CFR70.24 Re Criticality Accident Requirements for SNM Storage Areas at Facility Containing U Enriched to Less than 3% in U-235 Isotope ML20079E2181991-09-30030 September 1991 Submits Comments on NRC Proposed Resolution of Generic Issue 23, Reactor Coolant Pump Seal Failure. Informs That Util Endorses Comments Submitted by NUMARC ML20066J3031991-01-28028 January 1991 Comment Supporting SECY-90-347, Regulatory Impact Survey Rept ML20059P0531990-10-15015 October 1990 Comment Opposing Proposed Rules 10CFR2,50 & 54 Re Nuclear Power Plant License Renewal ML20059N5941990-10-0404 October 1990 Transcript of 900928 Public Meeting in Rockville,Md Re Studies of Cancer in Populations Near Nuclear Facilities, Including TMI ML20055F4411990-06-28028 June 1990 Comment Supporting Petition for Rulemaking PRM-50-55 Re Revs to FSAR ML20248J1891989-10-0606 October 1989 Order.* Grants Intervenors 891004 Motion for Permission for Opportunity to Respond to Staff Correspondence.Response Requested No Later That 891020.W/Certificate of Svc.Served on 891006 ML20248J1881989-10-0303 October 1989 Motion for Permission for Opportunity to Respond to Staff Correspondence in Response to Board Order of 890913.* Svc List Encl ML20248J0301989-09-29029 September 1989 NRC Staff Response to Appeal Board Order.* Matters Evaluated in Environ Assessment Involved Subjs Known by Parties During Proceeding & Appear in Hearing Record & Reflect Board Final Initial Decision LBP-89-7.W/Certificate of Svc ML20247E9181989-09-13013 September 1989 Order.* Requests NRC to Explain Purpose of 890911 Fr Notice on Proposed Amend to Applicant License,Revising Tech Specs Re Disposal of Accident Generated Water & Effects on ASLB Findings,By 890929.W/Certificate of Svc.Served on 890913 ML20247G0361989-07-26026 July 1989 Transcript of Oral Argument on 890726 in Bethesda,Md Re Disposal of accident-generated Water.Pp 1-65.Supporting Info Encl ML20247B7781989-07-18018 July 1989 Certificate of Svc.* Certifies Svc of Encl Gpu 890607 & 0628 Ltrs to NRC & Commonwealth of Pa,Respectively.W/Svc List ML20245D3651989-06-20020 June 1989 Notice of Oral Argument.* Oral Argument on Appeal of Susquehanna Valley Alliance & TMI Alert from ASLB 890202 Initial Decision Authorizing OL Amend,Will Be Heard on 890726 in Bethesda,Md.W/Certificate of Svc.Served on 890620 ML20245A5621989-06-14014 June 1989 Order.* Advises That Oral Argument on Appeal of Susquehanna Valley Alliance & TMI Alert from Board 890202 Initial Decision LBP-89-07 Authorizing OL Amend Will Be Heard on 890726 in Bethesda,Md.W/Certificate of Svc.Served on 890614 ML20247F3151989-05-22022 May 1989 NRC Staff Response to Appeal by Joint Intervenors Susquehanna Valley Alliance/Tmi Alert.* Appeal Should Be Denied Based on Failure to Identify Errors in Fact & Law Subj to Appeal.W/Certificate of Svc ML20246Q2971989-05-15015 May 1989 Comment Opposing Proposed Rule 10CFR50 Re Ensuring Effectiveness of Maint Programs for Nuclear Power Plants ML20246J6081989-05-12012 May 1989 Licensee Brief in Reply to Joint Intervenors Appeal from Final Initial Decision.* ASLB 890203 Final Initial Decision LBP-89-07 Re Deleting Prohibition on Disposal of accident- Generated Water Should Be Affirmed.W/Certificate of Svc ML20247D2761989-04-20020 April 1989 Transcript of 890420 Briefing in Rockville,Md on Status of TMI-2 Cleanup Activities.Pp 1-51.Related Info Encl ML20244C0361989-04-13013 April 1989 Order.* Commission Finds That ASLB Decision Resolving All Relevant Matters in Favor of Licensee & Granting Application for OL Amend,Should Become Effective Immediately.Certificate of Svc Encl.Served on 890413 ML20245A8381989-04-13013 April 1989 Transcript of Advisory Panel for Decontamination of TMI-2 890413 Meeting in Harrisburg,Pa.Pp 1-79.Supporting Info Encl ML20245A2961989-04-13013 April 1989 Transcript of 890413 Meeting in Rockville,Md Re Affirmation/Discussion & Vote ML20248H1811989-04-0606 April 1989 Valley Alliance/Tmi Alert Motion for Leave to File Appeal Brief out-of-time.* W/Certificate of Svc.Served on 890411.Granted for Aslab on 890410 ML20248G0151989-04-0606 April 1989 Valley Alliance/Tmi Alert Motion for Leave to File Appeal Brief out-of-time.* Requests to File Appeal Brief 1 Day Late Due to Person Typing Document Having Schedule Problems ML20248G0261989-04-0606 April 1989 Susguehanna Valley Alliance/Tmi Alert Brief in Support of Notification to File Appeal & Request for Oral Argument Re Appeal.* Certificate of Svc Encl ML20248D7211989-04-0404 April 1989 Memorandum & Order.* Intervenors Application for Stay Denied Due to Failure to Lack of Demonstrated Irreparable Injury & Any Showing of Certainty That Intervenors Will Prevail on Merits of Appeal.W/Certificate of Svc.Served on 890404 ML20247A4671989-03-23023 March 1989 Correction Notice.* Advises That Date of 891203 Appearing in Text of Commission 890322 Order Incorrect.Date Should Be 871203.Certificate of Svc Encl.Served on 890323 ML20246M2611989-03-22022 March 1989 Order.* Advises That Commission Currently Considering Question of Effectiveness,Pending Appellate Review of Final Initial Decision in Case Issued by ASLB in LBP-89-07. Certificate of Svc Encl.Served on 890322 ML20236D3821989-03-16016 March 1989 Valley Alliance & TMI Alert Motion for Extension of Time to File Brief in Support of Request for Appeal in Matter of 2.3 Million Gallons Of....* Certificate of Svc Encl.Served on 890316.Granted for Aslab on 890316 ML20236D3121989-03-15015 March 1989 Licensee Answer to Joint Intervenors Motion for Extension of Time to File Brief on Appeal.* Motion Opposed Based on Failure to Demonstrate Good Cause.W/Certificate of Svc ML20236D2901989-03-11011 March 1989 Valley Alliance/Tmi Alert Motion for Extension of Time to File Brief in Support of Request for Appeal in Matter of Disposal of 2.3 Million Gallons of Radioactive Water at Tmi,Unit 2.* Svc List Encl ML20236A3761989-03-0808 March 1989 Licensee Answer Opposing Joint Intervenors Motion for Stay.* Stay of Licensing Board Decision Pending Appeal Unwarranted Under NRC Stds.Stay Could Delay Safe,Expeditious Cleanup of Facility.Certificate of Svc Encl ML20236C2441989-03-0808 March 1989 NRC Staff Response in Opposition to Application for Stay Filed by Joint Intervenors.* Application for Stay of Effectiveness of Final Initial Decision LBP-89-07,dtd 890202 Should Be Denied.W/Certificate of Svc ML20235V2641989-03-0202 March 1989 Notice of Aslab Reconstitution.* TS Moore,Chairman,Cn Kohl & Ha Wilber,Members.Served on 890303.W/Certificate of Svc ML20235V2161989-02-25025 February 1989 Changes & Corrections to Susquehanna Valley Alliance/Three Mile Island Alert Documents Submitted on 890221.* Certificate of Svc Encl 1999-07-21
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BEFORE THE ATOMIC SAFETY AND LICENSING BOARD L i kbg '
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METROPOLITAN EDISON COMPANY 1 Docket No. 50-289 (Three } Ele Island , (Restart)
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QUESTIONS OF ANTI-NUCLEAR GROUPiREPRESENTING YORK (ANGRY) TO COMMONWEALTH OF PENNSYLVANIA (SECOND SET)
Intervener Anti-Nuclear Group Respresenting York (ANGRY) hereby requests the Commonwealth of Pennsylvania ta assist in the development of a full and adequate record in this proceeding by providing answers to the foibring questions. ANGRY further requests the Commonwealth to supplement its responses in accordance with the standards set forth at 10 CFR 2. 740 (e) (2) . Parentheses shall identify the matters from ANGRY's first set of interrogatories as to which the questions herein are in the nature of " follow-on" inquiries.
- 15. (2 (a)) . Do "NRC guidelines" include anything other than NUREGS 75/111 and 06547 If yes please identify. _.
- 16. (4). Has the Commonwealth conducted an independent assessment of the adequacy of the 10-mile EPZ apart from NUREG 03967 If yes attach associated documentation.
- 17. (5). Identify each individual " response option,"" protective action," and
" emergency response" that the Commonwealth considers to be "available" to it in the event of a nualcar accident.
- a. For each such " response" identify the minimum " lead time" that the Commonwealth considers to be " adequate" for the implementation thereof.
. b. What does the Commonwealth mean by " variables in the situation?" Identify pre-cisely how each such " variable" may influence the times set forth in response to question #17(a).
- 18. (6(a)). Identify the NRC official who communicat6d the " advisory" uhich recommended the extension of emergency response capability to 20 miles from TMI.
- a. What reason did NRC give the Commonwealth, either at the time of the accident or subsequently, for such recommendation?
- b. When and under what circrmstances (by whom and for what reason (s)) was this recommendation withdrawn?
soosi n 2-9 5
- 19. (8(b)). Identify the FDAA official who made this agreement.
- a. Was this agreement limited in duration to the TMI accident? Is it in effect at the present time?
- b. Where are these ambulances stored when not in use in response to a nuclear accident?
- 20. (9). When and by what NRC official was the minimum "30-hour warning time" advisory communicated to the Cocronwealth,
- a. Does the Commonwealth believe that at the time it was issued such an advisory had a reasonable basis in either logic or fact?
- b. What is the basis for the Commonwealth's belief in the reasonableness of the use of a 5-hour time frame as a basis for emergency planning in light of the information in Table 2 of NUREG 03967
- c. Attach copies of all NRC-to-Cocmonwealth and Commonw4alth-to-County communi-cations which discuss nuclear accident warning times.
- d. (9 (A)) . In the course of assisting York:Cbunty in the preparation of its plan or of reviewing it did the Commonwealth ever inquire into the basis for the quoted conclusion? If yes what information was elicited by such inquiry? What judgment did the Commonwealth make on the ef fect of this conclusion on the pinn's adequacy?
reason (s) for the
- 21. (10). Explain the A41fference between York County's heavy dependance on spontaneous evacuation in its plan and Dauphin County's decision to seek mass care space sufficienti to house the entire population of the 20-mile risk zone.
- a. To what extent is the reliance in the York County plan en the self-evacuation 6f over half of.the 20-mile at_ rink population a consequence of the unavailability of sufficient mass care capacity within the county combined with a desire to avoid the logistical and financial difficnities of an interstate evacuatica inte Maryland?
- b. Uhat is.the Cocmonwealth's sourcc(s) of information regarding the cited "recent Canadian evacuation" and the "other disaster experiences?"
- c. Does the Cocconwealth agree or disagree with the judgment of the FEMA report, Euacuation Planning in the TMI Accident, that York County's use of informal polling of local efficials and businesses as a guide to evacuation behavior was ;' questionable in its precision and risky to use"? (p. 91) Explain.
- d. (10 (a)) . Does the Commonwealth agree or disagree with the FEMA report's figure of.31,000 for York County's total mass care capacity? Explain any disagreement.
- e. Specify the section in the York County plan which provides for use of
" additional mass care facilities in adjacent counties."
- f. In the course of assisting in the preparation of the York County plan or cf a review thereof Hhs any Commonwealth official confirmed the agreements of Frederick, Harford, Baltimore, and Carroll counties in Maryland to furnish overflow mass care space to York County? If not, uhat evidence is there that such agreements exist? ,
- 22. (12). Does the Cocconwealth agree or disagree with the following evaluation of the warning capability of sirens from NUREG 0553, p. II-64:
Major disadvantages include: 1) the difficulty of hearing in residences during the winter because of sound absorption and well-insulated houses and during the summer in homes sealed up and air-conditioned. . .
Explain any disagreement.
- a. (12 (b)) . At present is there a notification system in place in the THI EPZ capable of satisfying the " design objectives" of Appendix 3 to NUREG 06547
- b. Dces the Commonwealth have the means, financial or otherwise, for putting such a system into place?
- c. Describe in detail any efforts currently underway to satisfy the notification requirements of NUREG 0654.
- d. (12(c)). How many Old Order Amish reside within 15 miles of TMI? 20 lules?
- e. Has the Cot =onwealth made a deterr.ination as to whether the presence of such concentrations of Old Order Amish constitutes a demographic characterist-it warranting departure from a uniformly circular 10-mile EPZ for TMI?
If yes, specify in detail the bases for such a determination. If no, does the Commonwealth intend to make such a determination?
- f. (See below)
- 23. (13). Did the Commonwealth decline to quantify the criteria in factor #2 of its response because 1) such quantified criteria do not exist, ,2) the Cocmonwealth does not believe quantification of emergency response criteria is necessary, or 3) sone other reason?
- a. What does the Cocmonwealth mean by the phrase "well underway }rior to expected plume arrival"? 25% of the population evacuated? 50%? 75%?
8
- b. Assuming average travel conditions, a 4 mile 4per hour plume travel speed, and the notification and travel times stated in response to interrogatory
- 16, state the most probable emergency response choice for each hourly ir. crease in warsing time from 0.5 hours5.787037e-5 days <br />0.00139 hours <br />8.267196e-6 weeks <br />1.9025e-6 months <br /> to one day.
- 24. (14). To what extent .does th'e perceptien of, an "egpected Jiut not yet- realized -
hazard" capable of triggering a precautionary -evacuation depend m. upon the assessment of such nuclear powerplant status parameters as temperature and pressure?
- b. Does the Commonwealth possess the expertise required for making such assessments?
If yes, state name(s) and agenc; affiliation.
- c. What action would the Com=onwealth have taken at 8AM on March 28 if it had knownorbeeninformedthatsaty'tionconditionsinthereactorhadcaused core uncovery and substantial fuel cladding damage? At 2PM on March 2S?
- d. In light of the findings of the NRC/TMI Special Inquiry Group that THI personnel " failed to properly diagnose basic plant information that was known to them" (Vol. 2, pt. 3, p.64) and provided inforcation to 22(f). What is the time required for the selection of an appropriate protective action after notification by the utility of a nuclear emergency? How was this time estimate derived?
off-site authorities that was "often colored by individual interpretations of plant status" (pt. 3, p. 126) "when the mere provision of instrument readings would likely have been more definitive and could have led to an earlier realization of the true plant status" (pt. 3, p. 153), what is the opinion of the Commonwealth as to the necessity or desirability of instrumen-tation providing remote readouts directly to the Cocmonwealth of effluent concentrations and essential plant parameters?
- 25. (16 (a)) . ANGRY repeats its request for specification of egress routes, road capacities, and anticipated traffic volumes,
- a. What.is the "1970 census tract population"?
- b. How does the increase in population over the ensuing ten years affect the time estimates given in response to interrogatory no.16?
- c. (16 (b)) . Specify the sections of the Cocmonwealth and/or County plans which provide for the stationing of " wreckers and other devices" along evacus-tion egress routes.
- 26. (17). What does the Commonwealth understand the term " scenario" to mean in the context of the quoted section from the final report of the Kemeny Commission?
- b. Identify specifically sections of 91ther Cocronwealth or County emergency response plans where any such scenarios may be found.
- 27. What determinations, if any, has the Commonwealth made as to the existence intheenvironssurrypdingTMIofconditionssuchasdemography, topography, land characteristics, access routes, and local jurisdictional boundaries that warrant departure from a circular EPZ defined uniformly by a 10-mile radius from the plant? If none, does the Ccenenwealth intend to address this question?
- a. Does the Commonwealth agree or disagree with the following conclusion reached by the NRC/TMI Special Inquiry Group (Vol.1, p.133):
Therefore, at the very least, significant centers of population beyond 10 miles from the plant must be considered in the planning as well.
Explain the reasons for any disagreement. If there is agreement, explain with reference to specific sections of Conmonwealth or County plans how this conclusion has been incorporated into emergency planning around TMI.
- 28. Identify the PEMA official (s) who assisted York County in extending its emergency response capability to 20 miles during tue TEE accident.
- a. Did such officials concur in the routing provisions of the York County plan which, according to the FEMA report (p.100) would have resulted in the case of a 20-mile evacuation in "a major traffic problem" and in " people from one part of the county moving toward the hazard before moving away from it"?
- 29. What is the Commonwealth's position with regard to the need for prior arrange-ments for special deliver es of gesoline to service stations along evacuation routes?
- a. If such arrangements presently exist provide details with reference to specific portions of Commonwealth or County plans which make provision therefor.
- 30. Identify the steps, if any, tho.concenwealth has taken to resolve each of the eight " recommendations" listed at pp. 14 and 15 of the "After Action Reoort" of the Pennsylvania National Guard, dated June 7, 1979.
- 31. Has the " guidance for the agricultural community in dealing with emergency nuclear incidents" called for in Section IX(A)(4)(g) of Annex E of the Commen-wealth D0P been " developed"? If so, where is it to be found? Identify the methods of connunication of such " guidance" that 1) have been effectively implemented, 2) have been developed but not implemented, and 3) remain to be developed.
- 32. In -ht of the provision of the Pennsylvania Emergency Management Services Code (35 Pa. C.S. 7101 et,. seq.) (EMSC) stating that " direction of disaster emergency canagecent services is the responsibility of the lowest level of government affected" (EMSC j7504(a)), is it the Commonwealth's position that effective emergency response capability for TMI depends upon the existence of local governmental emergency reponse organizations and plans which satisfy the standards therefor in the EMSC7 Discuss any respects as to which the Commonwealth does not subscribe to this position.
- 33. For each local governmental unit (township. borough, city, etc.) within a 10-mile radius of TMI provide the following information:
- a. Whether or not a " local emergency management organization"(EMSC 7501(a))
which satifies the Cocconwealth's criteria therefor presently exists.
(1) Specify in detail the standards and criteria the Commonwealth employs in evaluating the adequacy of local emergency canagement organizations
- b. The identity of the " local coordinator" (EMSC Q7502( .)) .
- c. The qualifications of each " local coordinator" (EMSC 7502 (d)) .
(1) Specify in detail the Commonwealth's standards and criteria for local coordinator qualifications.
- d. Whether the local coordinator has cocpleted in-service training in accordance with EMSC 7502(e).
(1) Describe in detail the Commonwealth's " career development program."
- e. Whether or not a " disaster emergency canagement plan" (EMSC 7503(1))
which satisfies the Commonwealth's criteria therefor presently exists.
(1) Describe in detail the Commonwealth's standards and criteria for the adequacy of local disaster energency management plans.
- f. Whether or not an "ezergency operations center" (EMSC 7503(2)) which satisfies the Commonwealth's standards and criteria therefor presently exists.
(1) State the location of each such local "EOC."
(2) Describe in detail the Commonwealth's standards and criteria for assessing the adequacy of local E0C's.
- g. Whether or not "organisational and individual training programs" (EMSC 7503(3))
which satisfy the Commonwealth's criteria therefor presently exist, (1) Describe in detail the Commonwealth's standards and criteria for assessing the adequacy of local training programs.
- h. Whether aufficient efforts have been undertaken to procure "all locally available nanpower, materials, supplies, equipment, facilitics and services necessary for
... emergency... response..." (EMSC Q7503(4)).
- 34. For each of the five "at risk" counties describe the communications system presently in effect between the county emergency operations center and local EOC's.
- a. Describe the estent to which any sach system is not operable (i.e., local contact not available) on a 24-hour basis,
- b. What is the Commonwealth's position as to the adequacy of these systems.
- 35. Provide copies of any " unmet needa" listing furnished to the Commonwealth by any "at risk" county since the TMI accident pursuant to Annex E gIX(B)(1)(x).
- 36. The NRC/TMI Special Inquiry Group concluded that:
Only an offsite, real-time-detector system could have provided the confirmation of offsite e::posure rates at a relatively inac-cessible location such as Goldsboro within the 10-15 minutes that the Board considered (Vol. 2, pt. 2, p. 173).
It further recommended that "real-time online radiation monitoring equipment should be installed around all nuclear powerplants" (pt. 2, p. 95).
Does the Commonwealth agree or disagree with this recommendation? Explain fully the reasons for any disagreement.
- 37. Do the high schools with pick-up routes for areas within 10 miles of TMI in York County own their own bus fleets or do they employ bus' fleets owned by outside contractors?
- a. Identify each such outside contractor.
- b. What assurance is there from each such contractor that its fleet with drivers will be available to fulfill the requirements of Annex VII of the York County plan?
- 38. What method does PEMA e= ploy to notify its off-duty officials of a nuclear emergency?
- a. Should similar methods be adopted by county and local governmental units?
- 35. What is the time required for the removal of seats from the 30 buses Annex IV o'_ the York County plan indicates will be used to evacuate nursing home wheelchair patients?
Respectfully submitted, Anti-Nuclear Group Representing York By:
\'
% h+MJMF Qohn Bowers 245 U. Philadelphia St.
DATE: February 25, 1980 York, Pa. 17402