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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20212D1771999-09-20020 September 1999 Exemption from Certain Requirements of 10CFR50,App A,General Design Criterion 57 Re Isolation of Main Steam Branch Lines Penetrating Containment ML20211A1801999-08-16016 August 1999 Forwards Comments on Draft Geig Re NUREG-1437 ML20205M8401999-04-15015 April 1999 Memorandum & Order.* Orders That Petitioner Appeal of Board Ruling Be Denied.Commission Affirms LBP-98-33 in Entirety. with Certificate of Svc.Served on 990415 ML20199K8231999-01-25025 January 1999 NRC Brief in Opposition to Appeal of Nb Williams,Wb Clay, Ws Lesan & Chattooga River Watershed Coalition.* Licensing Board Decision in LBP-98-33 Should Be Affirmed.With Certificate of Svc ML20199K8101999-01-25025 January 1999 Duke Energy Corp Brief in Opposition to Appeal of Chattooga River Watershed Coalition.* Informs That Licensing Board Decision in LBP-98-33 Should Be Affirmed.With Certificate of Svc ML20199D7021999-01-14014 January 1999 Notice of Appeal.* Chattooga River Watershed Coalition Files Notice of Appeal to Commission for Review of ASLB 981230 Memorandum & Order Denying Petitioner Petition for Leave to Intervene ML20199D7241999-01-14014 January 1999 Chattooga River Watershed Coalition Brief in Support of Appeal of Order Denying Intervention Petition & Dismissing Proceeding.* Commission Should Grant Petition for Review & Remand ASLB Memorandum & Order ML20198K9911998-12-29029 December 1998 Memorandum & Order (Denying Petition to Intervene).* Denies Petitioners Requests for Intervention Because Proffered Contentions Failed to Meet Requirements for Admissability. with Certificate of Svc.Served on 981230 ML20198D2601998-12-22022 December 1998 NRC Staff Response to Petitioners New Info.* Informs That Info Provided by Petitioners Not New & Does Not Support Proposed Contentions.Recommends Proposed Contentions Be Dismissed & Proceeding Terminated.With Certificate of Svc ML20198D2191998-12-21021 December 1998 Duke Energy Corp Response to New Info Submitted by Chattooga River Watershed Coalition in Support of Processed Contentions.* Petitioner Submittal of New Info Should Be Stricken for Procedural Reasons.With Certificate of Svc ML20197J9201998-12-14014 December 1998 Order (Requests by Staff & Applicant to File Responses). Motions of 981211 Re Applicant & Staff Request for Leave to Respond to Petitioner Filing of 981209 Granted.With Certificate of Svc.Served on 981214 ML20197J9441998-12-11011 December 1998 NRC Staff Motion for Leave to Respond to Petitioner Filing.* Staff Requests Leave from Board to Respond to Info.Staff Will File Response within 3 Days After Board Order Issued,If Board Grants Request.With Certificate of Svc ML20197K1131998-12-11011 December 1998 Duke Energy Corp Motion for Leave to Respond to New Info Submitted by Chattooga River Watershed Coalition.* Requests Leave to Respond to Petitioners New Info Based on Listed Grounds.With Certificate of Svc ML20196J9051998-12-0909 December 1998 Response of Duke Energy Corp to Licensing Board Order Requesting Info Concerning high-level Radioactive Waste Transportation Rulemaking.* Util Requests That Board Certify Question Immediately.With Certificate of Svc ML20197J8691998-12-0909 December 1998 Petitioners Response to ASLB Request for Addl Info & New Info for ASLB to Consider with Petitioners First Suppl Filing.* Response Filed on Behalf of Ws Lesan,B Clay, B Williams & Chattooga River Watershed Coalition ML20196E0091998-12-0202 December 1998 NRC Staff Response to Order Requesting Information.* in Staff View,Impacts of Transportation of HLW Not Appropriate Issue for Litigation in This Proceeding ML20196E0191998-11-30030 November 1998 Affidavit.* Affidavit of Dp Cleary in Response to Licensing Board Questions Re Environ Impacts of Transportation of High Level Waste.With Certificate of Svc ML20195G5621998-11-19019 November 1998 Order (Requesting Addl Info from Staff).* Based on Directives in SRM M970612,staff Should Furnish Listed Info by 981202.Applicant & Petitioners Have Until 981209 to File Response.With Certificate of Svc.Served on 981119 ML20195D5281998-11-16016 November 1998 Response of Duke Energy Corp to Supplemental Petition to Intervene Filed by Chattooga River Watershed Coalition & Nb Williams,Wb Clay & Ws Lesan.* Request for Hearing Should Be Denied for Reasons Stated.With Certificate of Svc ML20195C1601998-11-16016 November 1998 NRC Staff Response to Petitioner First Supplemental Filing.* Petitioners Failed to Submit Admissible Contention.Iaw 10CFR2.714,petition Should Be Denied & Petitioners Request for Stay Should Be Denied.With Certificate of Svc ML20155F5041998-10-30030 October 1998 Declaration of N Williams.* Declaration Expresses Concerns Re Duke Power Co Application for License Renewal for Oconee Nuclear Station,Units 1,2 & 3.Application Inadequate to Protect from Unacceptable Risk of Radiological Accidents ML20155F4951998-10-30030 October 1998 Declaration of Ws Lesan.* Declaration Expresses Concern Re Duke Power Co Application for Renewal of License for Oconee Nuclear Station,Units 1,2 & 3.Application Inadequate to Protect from Unacceptable Risk of Radiological Accidents ML20155F4791998-10-30030 October 1998 Petitioners First Supplemental Filing.* Petitioners Request That Chattooga River Watershed Coalition Be Admitted as Party to These Proceedings & That Contentions Be Admitted for Adjudication.Unsigned Declaration for Wb Clay Encl ML20154H0771998-10-0909 October 1998 NRC Staff Answer to Petition for Leave to Intervene Filed by N Williams,W Clay,Ws Lesan & Chattooga River Watershed Coalition.Petition Should Be Denied for Listed Reasons. with Certificate of Svc ML20154A9371998-10-0101 October 1998 Order (Ruling on Request for Extension of Time).* Motion for 30-day Extension to File Amended Petition to Intervene Denied.Petitioners Have Addl 11 Days Until 981030 to File Suppl to Petition.With Certificate of Svc.Served on 981002 ML20154A0401998-09-30030 September 1998 Response of Duke Energy Corp to Request for Enlargement of Time of Chattooga River Watershed Coalition & Messrs, N Williams,W Clay & Ws Lesan.* Petitioner Request Should Be Denied for Listed Reasons.With Certificate of Svc ML20153H4191998-09-29029 September 1998 NRC Staff Response to Motion for Enlargement of Time Filed by N Williams,W Clay,W Lesan & Chattooga River Watershed Coalition.* Petitioners Failed to Establish Sufficient Cause for Delaying Submission of Amends.With Certificate of Svc ML20153F3131998-09-25025 September 1998 Notice of Appearance.* Informs That ML Zobler,Rm Weisman & Je Moore Will Enter Appearances in Proceeding Re Duke Energy Corp.With Certificate of Svc ML20153H0801998-09-22022 September 1998 Comment on Draft NUREG-1633, Assessment of Use of Potassium (Ki) as Protective Action During Severe Reactor Accidents. Emergency Plan Calls for Evacuation of Population of EPZ in Timely Fashion to Prevent Exposure to Radiation from Oconee ML20151Z7051998-09-18018 September 1998 Memorandum & Order.* Applicant & Staff Shall File Respective Answers After Petitioners File Any Amend to Intervention Petition.Answers Shall Be Filed IAW Schedule as Submitted. with Certificate of Svc.Served on 980918 ML20151Z5681998-09-18018 September 1998 Notice of Reconstitution of Board.* Provides Notification of Reconstitution by Appointing P Cotter as Board Chairman in Place of T Moore in Duke Energy Corp Proceeding.With Certificate of Svc.Served on 980918 ML20151X9911998-09-16016 September 1998 Establishment of Atomic Safety & Licensing Board.* Board Being Established in Proceeding Re Application by DPC to Renew Operating Licenses for Units 1,2 & 3,per 10CFR54.With Certificate of Svc.Served on 980917 ML20210K7351997-08-18018 August 1997 Order Prohibiting Involvement in NRC-licensed Activities (Effective Immediately).Rj Nelson Prohibited for 1 Yr from Date of Order from Engaging in or Exercising Control Over Individuals Engaged in NRC-licensed Activities TXX-9522, Comment Opposing Proposed GL on Testing of safety-related Logic Circuits.Believes That Complete Technical Review of All Surveillance Procedures Would Be Expensive & Unnecessary Expenditure of Licensee Resources1995-08-26026 August 1995 Comment Opposing Proposed GL on Testing of safety-related Logic Circuits.Believes That Complete Technical Review of All Surveillance Procedures Would Be Expensive & Unnecessary Expenditure of Licensee Resources ML20077E8231994-12-0808 December 1994 Comment Supporting Proposed Rules 10CFR2,51 & 54 Re Rev to NRC NPP License Renewal Rule ML20044G7371993-05-25025 May 1993 Comment on Proposed Rules 10CFR170 & 171, FY91 & 92 Proposed Rule Implementing Us Court of Appeals Decision & Rev of Fee Schedules;100% Fee Recovery,FY93. Opposes Rule ML20101R5931992-07-0606 July 1992 Comment on Proposed Rule 10CFR50 Re Loss of All Alternating Current Power & Draft Reg Guide 1.9,task DG-1021.Opposes Rule ML20070E6291991-02-28028 February 1991 Comment Opposing Petition for Rulemaking PRM-73-9 Re Regulations to Upgrade Design Basis Threat for Radiological Sabotage of Nuclear Reactors ML20147F3231988-03-0303 March 1988 Order Imposing Civil Monetary Penalty in Amount of $100,000 within 30 Days of Order Date ML20215D6741987-06-12012 June 1987 Suppl 4 to Petition for Immediate Action to Relieve Undue Risk Posed by Nuclear Power Plants Designed by B&W.Ucs Reply to Responses from NRC & B&W Owners Group.* Certificate of Svc Encl ML20214F4411987-04-24024 April 1987 Endorsements 35 & 36 to Maelu Policy MF-101 & Endorsements 43 & 44 Nelia Policy NF-248 ML20210C4191987-04-0606 April 1987 Principal Response of B&W Owners Group to Petition Filed Under 10CFR2.206 by Ucs.* Petition Should Be Denied ML20205F2911987-03-23023 March 1987 Suppl 3 to Petition for Immediate Action to Relieve Undue Risk Posed by Nuclear Power Plants Designed by B&W.* Requests That Listed Names Be Added to List in Paragraph 1 of 870210 Petition ML20210C2691987-03-0606 March 1987 Initial Response of B&W Owners Group to Petition Filed Under 10CFR2.206 by Ucs.* Request for Immediate Suspension Should Be Summarily Denied.W/Certificate of Svc ML20211F5091987-02-20020 February 1987 Suppl 2 to Petition for Immediate Action to Relieve Undue Risk Posed by Nuclear Power Plants Designed by B&W.* Lists Names to Be Added to 870210 Petition & Corrects Address for Save Our State from Radwaste ML20210N4861987-02-10010 February 1987 Petition for Immediate Action to Relieve Undue Risk Posed by Nuclear Power Plants Designed by B&W Co.* OLs & CPs for Facilities Should Be Suspended Until Listed NRC Actions Taken ML20203N3261986-09-19019 September 1986 Order Imposing Civil Monetary Penalty in Amount of $50,000 DD-85-19, Order Extending Time Until 860303 for Commission to Review Director'S Decision DD-85-19.Served on 8602201986-02-19019 February 1986 Order Extending Time Until 860303 for Commission to Review Director'S Decision DD-85-19.Served on 860220 ML20137L5911985-09-10010 September 1985 Response Opposing Jf Doherty 850611 Petition for Show Cause Order Requesting NRC to Institute Consolidated Proceeding Per 10CFR2.202.Certificate of Svc Encl ML20133P9591985-07-26026 July 1985 Unexecuted Amend 8 to Indemnity Agreement B-83,modifying Definition of Radioactive Matl as Listed 1999-09-20
[Table view] Category:PLEADINGS
MONTHYEARML20199D7021999-01-14014 January 1999 Notice of Appeal.* Chattooga River Watershed Coalition Files Notice of Appeal to Commission for Review of ASLB 981230 Memorandum & Order Denying Petitioner Petition for Leave to Intervene ML20198D2601998-12-22022 December 1998 NRC Staff Response to Petitioners New Info.* Informs That Info Provided by Petitioners Not New & Does Not Support Proposed Contentions.Recommends Proposed Contentions Be Dismissed & Proceeding Terminated.With Certificate of Svc ML20198D2191998-12-21021 December 1998 Duke Energy Corp Response to New Info Submitted by Chattooga River Watershed Coalition in Support of Processed Contentions.* Petitioner Submittal of New Info Should Be Stricken for Procedural Reasons.With Certificate of Svc ML20197J9441998-12-11011 December 1998 NRC Staff Motion for Leave to Respond to Petitioner Filing.* Staff Requests Leave from Board to Respond to Info.Staff Will File Response within 3 Days After Board Order Issued,If Board Grants Request.With Certificate of Svc ML20197K1131998-12-11011 December 1998 Duke Energy Corp Motion for Leave to Respond to New Info Submitted by Chattooga River Watershed Coalition.* Requests Leave to Respond to Petitioners New Info Based on Listed Grounds.With Certificate of Svc ML20196J9051998-12-0909 December 1998 Response of Duke Energy Corp to Licensing Board Order Requesting Info Concerning high-level Radioactive Waste Transportation Rulemaking.* Util Requests That Board Certify Question Immediately.With Certificate of Svc ML20197J8691998-12-0909 December 1998 Petitioners Response to ASLB Request for Addl Info & New Info for ASLB to Consider with Petitioners First Suppl Filing.* Response Filed on Behalf of Ws Lesan,B Clay, B Williams & Chattooga River Watershed Coalition ML20196E0091998-12-0202 December 1998 NRC Staff Response to Order Requesting Information.* in Staff View,Impacts of Transportation of HLW Not Appropriate Issue for Litigation in This Proceeding ML20195D5281998-11-16016 November 1998 Response of Duke Energy Corp to Supplemental Petition to Intervene Filed by Chattooga River Watershed Coalition & Nb Williams,Wb Clay & Ws Lesan.* Request for Hearing Should Be Denied for Reasons Stated.With Certificate of Svc ML20195C1601998-11-16016 November 1998 NRC Staff Response to Petitioner First Supplemental Filing.* Petitioners Failed to Submit Admissible Contention.Iaw 10CFR2.714,petition Should Be Denied & Petitioners Request for Stay Should Be Denied.With Certificate of Svc ML20155F4791998-10-30030 October 1998 Petitioners First Supplemental Filing.* Petitioners Request That Chattooga River Watershed Coalition Be Admitted as Party to These Proceedings & That Contentions Be Admitted for Adjudication.Unsigned Declaration for Wb Clay Encl ML20154A0401998-09-30030 September 1998 Response of Duke Energy Corp to Request for Enlargement of Time of Chattooga River Watershed Coalition & Messrs, N Williams,W Clay & Ws Lesan.* Petitioner Request Should Be Denied for Listed Reasons.With Certificate of Svc ML20153H4191998-09-29029 September 1998 NRC Staff Response to Motion for Enlargement of Time Filed by N Williams,W Clay,W Lesan & Chattooga River Watershed Coalition.* Petitioners Failed to Establish Sufficient Cause for Delaying Submission of Amends.With Certificate of Svc ML20215D6741987-06-12012 June 1987 Suppl 4 to Petition for Immediate Action to Relieve Undue Risk Posed by Nuclear Power Plants Designed by B&W.Ucs Reply to Responses from NRC & B&W Owners Group.* Certificate of Svc Encl ML20210C4191987-04-0606 April 1987 Principal Response of B&W Owners Group to Petition Filed Under 10CFR2.206 by Ucs.* Petition Should Be Denied ML20205F2911987-03-23023 March 1987 Suppl 3 to Petition for Immediate Action to Relieve Undue Risk Posed by Nuclear Power Plants Designed by B&W.* Requests That Listed Names Be Added to List in Paragraph 1 of 870210 Petition ML20210C2691987-03-0606 March 1987 Initial Response of B&W Owners Group to Petition Filed Under 10CFR2.206 by Ucs.* Request for Immediate Suspension Should Be Summarily Denied.W/Certificate of Svc ML20211F5091987-02-20020 February 1987 Suppl 2 to Petition for Immediate Action to Relieve Undue Risk Posed by Nuclear Power Plants Designed by B&W.* Lists Names to Be Added to 870210 Petition & Corrects Address for Save Our State from Radwaste ML20210N4861987-02-10010 February 1987 Petition for Immediate Action to Relieve Undue Risk Posed by Nuclear Power Plants Designed by B&W Co.* OLs & CPs for Facilities Should Be Suspended Until Listed NRC Actions Taken ML20137L5911985-09-10010 September 1985 Response Opposing Jf Doherty 850611 Petition for Show Cause Order Requesting NRC to Institute Consolidated Proceeding Per 10CFR2.202.Certificate of Svc Encl ML20126A3531985-06-11011 June 1985 Petition/Request for Order to Show Cause Why Plants Should Not Be Shut Down Until CRD Mechanisms Inspected ML20004F4851981-06-16016 June 1981 Answer Opposing Carolina Environ Study Group 810606 Request to Stay ASLB 810419 & 0526 Decisions.Util Compliance W/Regulations Entitles ASLB to Find Facility Can Be Operated W/O Undue Risk to Public Health.Certificate of Svc Encl ML20004F0131981-06-0808 June 1981 Exceptions to ASLB 810526 Supplemental Initial Decision & 790418 Initial Decision.Aslb Erred in Rejecting Jl Riley Evidence as Expert Witness & Decision That Riley Affidavit Not Responsive.Affidavit of Suc Encl ML20004D4161981-06-0505 June 1981 Request for Stay of Initial & Supplemental Initial Decisions.Commission Should Refer Decisions to ASLAP for Review.Potential for Irreparable Harm Due to Serve Hydrogen Explosion Is Great.Affirmation of Svc Encl ML20004D4231981-06-0505 June 1981 Request for Stay of Initial & Supplemental Initial Decisions.Aslb Lacks Basis for Finding Operation Would Not Expose Public to Undue Risk Since Board Did Not Determine Consequences of Shell Rupture.Affirmation of Svc Encl ML20004C8571981-06-0101 June 1981 Response in Opposition to Carolina Environ Study Group 810515 Motion to Permit Appeal of ASLB 810506 Order Denying Util Request for 35% Power Operations.Party May Not Appeal Favorable Decision.Certificate of Svc Encl ML19343D3451981-04-17017 April 1981 Response Opposing Applicant Request for Waiver,Exception or Exemption from 10CFR2,App B.No Special Circumstances Exist to Waive Procedures ML19345G9021981-04-17017 April 1981 Response in Opposition to Carolina Environ Study Group 810402 Motion Questioning Util 810324 Request for OL for 35% Power level.TMI-type Accident Is Not Credible.Proposed Order & Certificate of Svc Encl ML19347D9171981-04-0909 April 1981 Response in Opposition to Carolina Environ Study Group 810406 Request for Extension to File Findings of Fact & Conclusions of Law.Applicant Transcripts Available to Intervenors.Certificate of Svc Encl ML19350D2471981-04-0606 April 1981 Request for 10-day Extension to File Proposed Findings of Fact & Conclusions of Law.Counsel Occupied W/Other Cases. Certificate of Svc Encl ML19343D1461981-04-0606 April 1981 Response Opposing Carolina Environ Study Group 810302 Request for Certification or Referral.Request Unnecessary Since Commission Has Specifically Addressed Issue. Certificate of Svc Encl ML19347D9761981-04-0303 April 1981 Response Opposing Applicant 810327 Submittal of Jl Riley Affidavit & Affirmation of Svc.Filing Is Contrary to ASLB Ruling.Record Is Closed & Filing Is Not Responsive ML19347D9791981-04-0303 April 1981 Response to Jl Riley 810327 Affidavit Re Polyurethane Pyrolysis in Form of Encl Wh Rasin Affidavit ML19350D2501981-04-0202 April 1981 Reply Opposing Applicant 810324 Motion for License Authorizing Up to 35% Rated Power Operation.Alleged Need to Bolster Util Summer Reserve Is Result of Scheduling Oconee 1 Maint During Summer Peak.W/Certificate of Svc ML19347D7811981-03-24024 March 1981 Request for License Authorizing Operation Up to & Including 35% Rated Power.Fuel Loading,Initial Criticality & Zero Power Physics Testing to Be Completed by 810515.Certificate of Svc Encl ML19341D4501981-03-0202 March 1981 Response in Objection to ASLB 810217 Memorandum & Order Denying Admission of Contentions 5 & 6.Supplementary EIS on Class 9 Accident Is Necessary Predicate in Proceeding.Denial Should Be Certified to Commission.W/Certificate of Svc ML19350B7511981-02-26026 February 1981 Carolina Environ Study Group Application for Subpoenas Re Reopened McGuire Units 1 & 2 OL Proceeding.List of Proposed Witnesses & Questions Encl.Related Correspondence ML20003B3151981-02-0404 February 1981 Request for Reconsideration of Schedule.Carolina Environ Study Group Should Be Allowed to Submit Prefiled Testimony Seven Days After Receipt of NRC Complete Prefiled Testimony. Certificate of Svc Encl.Related Correspondence ML19345E8431981-02-0202 February 1981 Response Opposing Carolina Environ Study Group Motion & Memorandum to Add Contentions.Question of Need to Suppl EIS Resolved.No Special Circumstances Exist to Include Charlotte,Nc in Emergency Plans ML20002E0871981-01-21021 January 1981 Memorandum Supporting Carolina Environ Study Group Motion to Add Contentions 5 & 6 Advanced in 801107 Reply to Applicant Motion for Summary Disposition.Notice of Appearance & Certificate of Svc Encl ML20002E0531981-01-19019 January 1981 Response to Mecklenburg County Board of Commissioners & City of Charlotte 801231 & 810113 Requests to Participate. Applicant Has No Objection.Certificate of Svc Encl ML19340E5881981-01-0808 January 1981 Motion to Suppl 801107 Contentions 5 & 6 W/Memorandum of Law.No Objection to Extension for Reply.Certificate of Svc Encl ML19340D2821980-12-15015 December 1980 Response to Carolina Environ Study Group Motion to Add Further Contentions.Carolina Environ Study Group Addl Contentions 5 & 6 Found Factually & Legally Flawed & Merit Denial.Certificate of Svc Encl ML19345E0491980-12-0202 December 1980 Response in Opposition to M Fennel 800926 Request to Reopen Hearing If Viewed as Late Petition to Intervene.Certificate of Svc Encl ML19339C3361980-11-12012 November 1980 Supplemental Filing Re Applicant Motion for Summary Disposition of Application for Fuel Loading & Low Power Testing.Calls Attention to Encl 801021 Fr Notice.Urges Expedited Consideration.Certificate of Svc Encl ML19340B7751980-11-0707 November 1980 Suppl to Statement of Matl Facts Re Absence of Issues to Be Heard.Hydrogen Generation Event During Worst Case May Be Terminated Prior to Onset of Core Damage.Notice of Mu Rothschild Appearance & Certificate of Svc Encl ML19340C4801980-11-0707 November 1980 Response in Opposition to Applicant 800930 Motion for Summary Disposition Re Application for License Authorizing Fuel Loading.Moves for Consolidated Hearing Re Provisionary & Full Term Ols.Related Correspondence ML19339B5581980-11-0303 November 1980 Comments on Commission 800926 Order Requesting Positions of Parties on Carolina Environ Study Group Revised Motion to Reopen Record.Affirms Prior View That CLI-80-16 Has No Direct Bearing on Motion.Certificate of Svc Encl ML19347B4111980-10-0909 October 1980 Response in Opposition to P Edmonston 801002 Request to Make Statement,If Viewed as Petition to Intervene.No Objection If Viewed as Request to Make Limited Appearance Statement If Hearing Held.Certificate of Svc Encl ML19347B3641980-10-0808 October 1980 Response in Opposition to s Wilson 800930 Ltr,If Viewed as Late Petition to Intervene.No Objection to s Wilson Public Statement,If Hearing Reopened.Certificate of Svc Encl 1999-01-14
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1-18-1 3 UNITED STATES OF AMERICA ATOMIC ENERGY COMMISSION In the Matter of ) s
) Docket Nos. -26 , 50-270A DUKE POWER COMPANY ) 50-287A, 50-369A (Oconee Units 1, 2 & 3 ) 50-370A McGuire Units 1 & 2) )
)
APPLICANT'S MOTION TO AMEND P ARAGRAPH B ( 2) (b) OF PREHEARING ORDER NUMBER TWO To the Atomic Safety and Licensing Board:
Duke Power Company (" Applicant") respectfully request:
that paragraph B(2) (b) of Prehearing Order Number Two, issued November 27, 1972, be amended to include Joint Document Request item 6(f) (2) .-1/
In paragraph B(2) (b) of Prehearing Order Number Two, the Board sustained Applicant's objection to the production of documents relating to its constitutionally protected right to petition legislative, executive, administrative and judicial 2/
of ficials and tribunals .- The ruling specifically applied to Joint Document Request items 4(f), 4(h), 4(1), 6 (f) ( 3) , 6(i),
6(p), 16, 37 and 38. These requests originally had been itemized 1/ Applicant seeks this action pursuant to Sections 2.730 (a) and (b) of the Commission's Rules of Practice, 10 C.F.R. Part 2, and to paragraph F(6) of Prehearing Order Number Two.
2/ The ruling provides:
(b) "2. Applicant's Political Activity" Applicant's objection to joint requests number 4 (f) , 4(h) and 4 (d) ; 6 (f) (3) ,
l l 6(i) and 6(p); 16, 37 and 38 are sus-tained without prejudice to a renewal thereof on the showing of prerequisites required by law.
. N91218o 986 /9
I l
by Applicant in footnote 6 on page 4 of its pleading entitled
" Objections to Document Requests and Motion for Protective Orders ," dated October 12, 1972.
As the document review for compliance with the Joint Request proceeded, Applicant discovered that item 6 (f) (2) had not been included in the footnote just referred to nor, therefore, in the Board's ruling in paragraph B(2) (b) of Prehearing Order Number Two. This omission from the list of items objected to was entirely inadvertent. Applicant believes that it may have been a typographical error but cannot so establish at this late date.
Applicant believes that the fact of inadvertence is plain.
First, the subject matter of item 6(f)(2) --
" communications to or about elected officials , councils , and boards" -- f alls plainly within the political sphere covered by the Noerr-Pennington doctrine which formed the basis for Applicant's objection. It cannot reasonably be argued that Applicant did not intend to include this item in its Noerr-Pennington objection. Second, as evidence of inadvertency, Applicant has attached hereto as Appendix A an excerpt from a pleading filed in the AEC's Consumers Power Midland proceeding (AEC Dkt. Nos. 50-329A and 50-330A) . In raising the Noerr-Pennington objection in that proceeding, Consumers Power included in its list an item precisely identical l
l
to item 6(f) (2) herein.-3/ Consumers is represented by the same counsel as Applicant. Its pleading in the Consumers case was filed almost simultaneously with the objections in this pro-4/
ceeding.- The inclusion of the item there and its omission here is a clear indication that the failure to include 6 (f) (2) was unintended and inadvertent.
The Board's ruling on the other items objected to by Applicant on Noerr-Pennington grounds should clearly apply to 5/
item 6 (f) (2) . Communications to elected officials are perhaps the clearest example of the type of exercise of First Amendment rights which those cases hold immune from scrutiny under the antitrust laws. Moreover, there is no question that discovery of documents relating to Applicant's participation in the political process serves to deter and otherwise " chill" the exer-cise of its First Amendment Noerr-Pennington prerogatives.
Recognizing the validity of these arguments, the Board indicated
-3/ The enumeration of items objectionable on Noerr-Pennington rounds is found in footnote 7 (page 5) of " Applicant's objections to Document Requests and Motion for Protective Orders," Consumers Power Co. (Midland Units 1 and 2), AEC Dkt. Nos. 50-329A and 50-330A, Oct. 26, 1972. The objections there stated are equivalent to the items to which Duke Power Co. objected. Item 5 (f) (2) (ii) of the Consumers request was renumbered as 6(f) (2) in the Joint Request served on Duke.
4/ The objections in this docket were filad on October 12, 1972.
The objections in the Consumers case were filed on October 26, 1972.
5/ Applicant incorporates by reference its arguments on the scope of the Noerr-Pennington doctrine contained in " Applicant's Objec-tions to Document Requests and Motion for Protective Orders ,"
Oct. 12, 19 72, at pp. 4-9 and " Applicant's Reply to Answer of the Department of Jus tice , " Nov. 10, 1972, at pp. 5-13.
at the Prehearing Conference on discovery objections held on November 17, 1972, that it was sustaining all of Applicant's objections to requests for information concerning Applicant's political activity. (Tr. 177) Therefore, based on the rationale underlying that decision, constitutional considerations require the Board to amend paragraph B(2) (b) of Prehearing Order Number Two so as to include item 6(f) (2) among those to which Applicant's objection was sustained.
The instant motion is made because of the Board's statement that only those requests to which specific objection and reference has been made would be subject to the Board's Order. (Tr. 272) Because of this direction, when Applicant discovered its inadvertent failure to include item 6(f) (2) in the enumeration contained in footnote 6 of its objections, Applicant segregated the documents responsive to item 6 (f) (2) and proceeded with production of other documents responsive to the Joint Request. Th us , production of documents has continued unimpeded. Applicant now asks the Board to take note of Applicant's omission of item 6 (f) (2) from its list of objection-able items and apply its ruling in Prehearing Order Number Two thereto.
For the reasons set forth above, Applicant believes it has demonstrated good cause for the amendment of Prehearing Order Number Two, as required by paragraph F(b) of that Order.
4
9 WHEREFORE, Applicant moves the Board to amend paragraph B(2) (b) of Prehearing Order Number Two by adding 6 ( f) (2) to the enumeration of Joint Request items to which 6/
objections were sustained."
Respectfully submitted, George A. Avery Toni K. Golden Wald, Harkrader & Ross Attorneys for Duke Power Company 1320 Nineteenth Street, N.W.
Washington, D. C. 20036 July 18, 1973 .
6/ In the event this motion is denied, Applicant requests that such order be without prejudice to Applicant's seeking further relief on the ground that some of the documents in question may be legally privileged or that some may come within the categories for which a protective order is being sought.
APPENDIX A Excarpt from Consumars Powcr Co. (Midland Units 1 and 2),
AEC Dkt. Nos. 50-329A et al,
" Applicant's Objections to Document Requests and Motion l for Protective Orders ,"
Oct. 26, 1972.
AEC staff during the last eighteen months; Applicant's
~
6/
replies were also made available to the Intervenors. In addition, the other requests contained in the Joint Document Request are clearly so broad in scope as to sweep into their dragnet every document conceivably germane to any issue raised in the proceeding.
Given the ample opportunity of the Justice Depart-ment and the other parties to obtain information about the Applicant, there is no justification for permitting them to engage in an open-ended and undirected invasion of the privacy of Applicant's filing system. Since request 2, on its face, is an effort to " fish" for additional issues or evidence, it should be stricken from the Joint Document Request.
- 2. Applicant's Political Activity Applicant objects to the production of documents relating to its constitutionally-protected right to petition 6/ The responses to the Justice Department inquiries were filed as Amendment No. 19 to the Midland Units Applica-tion on March 22, 1971. Additional information was provided in response to Justice Department inquiries in June and October, 1971. See letter from Brand to Youngdahl of June 4, 1971; letter from Graves to Saunders of June 23, 1971; letter from Brand to Watson of October 29, 1971; and letter from Watson to Brand of June 29, 1972. Extensive interrogatories by the staff were' served on November 11, 1971 and answered by Appli-cant during the next several months.
. legislative, executive, administrative and judicial officials and tribunals. At least seven of the document requests seek such documents on their face while many other requests will undoubtedly sweep such material into their broad ambit.
The very nature of Applicant's operations as a public utility in Michigan serves to thrust Applicant into the political process with great frequency. In the first place, Applicant is subject to pervasive federal and state executive, legislative and administrative regulation'. More-over, Applicant serves many local jurisdictions only at the sufferance of the elected officials and/or the voters of such jurisdictions. In the second place, its wholesale customers and several of other neighboring utility systems are publicly owned, operated and financed.
Thus, through its frequent interaction with various executive, legislative, administrative and judicial forums and officials, Applicant inevitably participates in a signi-7/ See Requests 3 (e) (legislation and constitutional revision);
5 (f) (2) (ii) (communications with elected officials , etc. ) ;
5 (f) (2) (iii) (activities of citizen or taxpayer committees) ;
5 (k)*(activities to obtain " favorable action" from any governmental entity); 10 (e) (communications with " persons in elective or appointive office") ; 10 (f) (documents concern-ing. tax payer's committees and similar groups); 22 (issues regarding FPC or Michigan Public Service Commission juris-diction).
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UNITED STATES OF AMERICA ATOMIC ENERGY COMMISSION In the Matter of )
) Docket Nos. 50-269A, 50-270A DUKE POWER COMPANY ) 50-287A, 50-369A (Oconee Units 1, 2& 3) 50-370A McGuire Units 1 & 2)
CERTIFICATE OF SERVICE I hereby certify that copies of APPLICANT'S MOTION TO AMEND PARAGRAPH B (2) (b) OF PREHEARING ORDER NUMBER 'IWO, dated July 18, 1973, in the above-captioned matter have been served on the following by deposit in the United States mail, first class or air mail, this 18th day of July, 1973:
Wa_ter W.K. Bennett, Esquire J.O. Tally , Jr. , Esquire P. O. Box 185 P.O. Drawer 1.00 Pinehurst, North Carolina 28374 Fayetteville, No. Carolina 28302 Joseph F. Tubridy, Esquire Troy B. Connor, Esquire 4100 ' Cathedral Avenue , N.W. Connor & Knotts Washington, D. C. 20016 1747 Penna. Avenue, N.W.
Washington, D. C. 20006 John B. Farmakides, Esquire Atomic Safety and Joseph Rutberg, Esquire Licensing Board Panel Benjamin H. Vogler, Esquire Atomic Energy Commission Antitrust Counsel for Washington, D. C. 20545 AEC Regulatory Staff Atomic Energy Commission Atomic Safety and Washington, D. C. 20545 Licensing Board Panel Atomic Energy Commission Mr. Frank W. Karas, Chief Washington, D. C. 20545 Public Proceedings Branch Office of the Secretary Abraham Braitman, Esquire Of the Commission Special Assistant for Atomic Energy Commission Antitrust Matters Washington, D. C. 20545 Office of Antitrust and Indemnity Joseph Saunders, Esquire Atomic Energy Commission Antitrust Division Washington, D. C. 20545 Department of Justice Washington, D. C. 20530 w ~
William T. Clabault, Esquire J.A. Bouknight, Jr., Esquire David A. Leckie, Esquire David F. Stover, Esquire Antitrust Public Counsel Section Tally, Tally & Bouknight Department of Justice Suite 311 P. O. Box 7513 429 N Street, S.W.
Washington, D. C. 20044 Washington, D. C. 20024 Wallace E. Brand, Esquire Antitrust Public Counsel Section Department of Justice P. O. Box 7513 Washington, D. C. 20044 Wald, Harkrader & Ross By:
Attorneys for Duke Power Company 1320 Nineteenth Street, N. W.
Washington, D. C. 20036
.