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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20198L1911998-12-21021 December 1998 Submits Comments Re Proposed Rule to Revise 10CFR50.59, Changes,Tests & Experiments ML20198L1361998-12-15015 December 1998 Comment Opposing Proposed Rule 10CFR50.65 Re Requirements for Monitoring Effectiveness of Maint of NPP ML20217J2161998-03-27027 March 1998 Comment on Proposed Generic Communication Re Lab Testing of nuclear-grade Activated Charcoal ML20217F5361998-03-25025 March 1998 Comment Opposing Draft Regulatory Guide DG-1071, Std Format & Content for Post-Shutdown Decommissioning Activities Rept ML20199J4651998-01-22022 January 1998 Comment Opposing Draft RG-1070, Sampling Plans Used for Dedicating Simple Metallic Commercial Grade Items for Use in Npps. RG Unnecessary Based on Use of EPRI Guideline & Excellent Past History of Commercial Grade Items at DBNPS ML20148M6421997-06-17017 June 1997 Comment on Proposed NRC Bulletin 96-001,suppl 1 Re Control Rod Insertion Problems.Nrc Should Review Info Provided in Licensee 970130 Submittal & Remove Statements of Applicability to B&W Reactors from Suppl Before Final Form ML20134L3401997-01-22022 January 1997 Resolution 96-R-85, Resolution Supporting Merger of Centerior Energy Corp & Ohio Edison Under New Holding Co Called Firstenergy ML20133B6941996-12-18018 December 1996 Submits Ordinance 850-96 Re Approval of Merger of Centerior & Oh Edison Into Firstenergy ML20132A8461996-12-0202 December 1996 Resolution 20-1996 Supporting Merger of Ohio Edison & Centerior Corp Under New Holding Company Called Firstenergy ML20134M6191996-10-28028 October 1996 Proclamation of Support by City of Sandusky,Oh Re Merger of Ohio Edison and Centerior Energy Corp ML20108D9571996-05-0303 May 1996 CEI Response to City of Cleveland 2.206 Petition.Nrc Should Deny Petition ML20097G5731996-02-13013 February 1996 Comment Supporting Petition for Rulemaking PRM-50-63 Re Use of Potassium Iodide ML20097B8721996-01-23023 January 1996 Petition of City of Cleveland,Oh for Expedited Issuance of Nov,Enforcement of License Conditions & Imposition of Appropriate Fines,Per 10CFR2.201,2.202,2.205 & 2.206 ML20101B5841996-01-23023 January 1996 Motion of City of Cleveland,Oh for Partial Summary Judgement Or,In Alternative,For Severance of Issue & Expedited Hearing Procedures.W/Certificate of Svc ML20097B8911996-01-23023 January 1996 Motion of City of Cleveland,Oh for Partial Summary Judgement or in Alternative,For Severance of Issue & Expedited Hearing Procedures ML20096E9781996-01-0808 January 1996 Comment on Proposed Suppl to GL 83-11, Licensee Qualification for Performing Safety Analyses in Support of Licensing Actions ML20087J3611995-08-14014 August 1995 Comment Opposing Proposed Rule 10CFR2 Re Rev of NRC Enforcement Policy ML20086M8241995-06-29029 June 1995 Comment on Proposed Review of NRC Insp Rept Content,Format & Style ML20083M8701995-05-10010 May 1995 Comment on Proposed Rule 10CFR50 Re Primary Reactor Containment Leakage Testing for Water-Cooled Power Reactor ML20081C8841995-03-0303 March 1995 Comment Re NRC Proposed Generic Communication Suppl 5 to GL 88-20, IPEEE for Severe Accident Vulnerabilities. Util Ack NRC Efforts to Reduce Scope of GL 88-20,but Believes That Proposed Changes Still Overly Restrictive ML20077M5831995-01-0404 January 1995 Comment Opposing Proposed Rule 10CFR50 Re Shutdown & low-power Operations for Nuclear Power Reactors ML20072K3611994-08-16016 August 1994 Comment Opposing Proposed Rule 10CFR72 Re Plans for Storage of Sf at Davis Besse NPP ML20072K4411994-08-14014 August 1994 Comment Opposing Proposed Rule 10CFR72 Re Dry Storage of Nuclear Waste at Facility in Toledo,Oh ML20072K5261994-08-12012 August 1994 Comment Supporting Proposed Rule 10CFR72 Re Addition of Standardized NUHOMS Horizontal Modular Storage Sys to List of Approved Sf Storage Casks ML20072B1581994-08-0909 August 1994 Comment Opposing Proposed Rule 10CFR72 on List of Approved Spent Fuel Storage Casks:Addition ML20029D8221994-04-19019 April 1994 Comments on Proposed Rule 10CFR50 Re Codes & Stds for Nuclear Power Plants;Subsection IWE & Subsection Iwl ML20062M4011993-12-28028 December 1993 Comment Supporting Petition for Rulemaking PRM-21-2 Re Commercial Grade Item Dedication ML20046A9561993-07-19019 July 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. ML20056C8951993-07-19019 July 1993 Order Extending Time within Which Commission May Rule on Petitions for Review of LBP-92-32.W/Certificate of Svc. Served on 930720 ML20045F8321993-06-22022 June 1993 Comment on Proposed Rule 10CFR26 Re Mods to fitness-for-duty Program Requirements.Concurs W/Proposed Rule in Reducing Random Testing Rate of Licensees to 50% & Disagrees W/ Maintaining Random Testing Rate of 100% for Vendors ML20044E2781993-05-13013 May 1993 Comment Supporting Petition for Rulemaking PRM-50-58 Re VEPCO Petition to Change Frequency of Emergency Planning Exercise from Annual to Biennial ML20044E1561993-04-29029 April 1993 Comment Supporting Petition for Rulemaking PRM-50-58 Re Frequency Change of Emergency Planning Exercises ML20127L8781993-01-19019 January 1993 Comment Supporting Comments Submitted by NUMARC Re Draft Reg Guide DG-1020 ML20127A6171993-01-0606 January 1993 Order.* Time within Which Commission May Rule on Petitions for Review of Board Order LBP-92-32,dtd 921118,extended Until 930208.W/Certificate of Svc.Served on 930106 ML20126D5801992-12-23023 December 1992 NRC Staff Answer in Response to Petitions for Review Filed by Oh Edison Co,Cleveland Electric Illuminating Co,Toledo Edison Co & City of Cleveland.* W/Certificate of Svc ML20126F6501992-12-23023 December 1992 Answer of City of Cleveland,Oh,Intervenor,In Opposition to Petitions for Review of 921118 Decision of Aslb.* Petitioners Petitions for Review Should Be Denied. Certificate of Svc Encl ML20126D5171992-12-23023 December 1992 City of Brook Park Answer to Petitions for Review.* Opposes Applicants 921208 Petitions for Review Based on Fact That ASLB Decision in proceeding,LBP-92-32,adequately Addressed Issues Raised in Petitions.W/Certificate of Svc ML20126D5461992-12-23023 December 1992 Answer of Cleveland Electric Illuminating Co & Toledo Edison Co to Limited Petition for Review of City of Cleveland,Oh of 921118 Decision of Aslb.* Commission Should Deny City of Cleveland Petition.W/Certificate of Svc ML20126D5781992-12-23023 December 1992 Answer of American Municipal Power-OH,Inc in Opposition to Petitions for Review of Oh Edison Co & Cleveland Electric Illuminating Co/Toledo Edison Co.* W/Certificate of Svc ML20126D4761992-12-22022 December 1992 Alabama Electric Cooperative Answer to Applicants Petitions for Review.* Applicants 921208 Petitions for Review Should Be Denied.W/Certificate of Svc ML20126A5461992-12-10010 December 1992 Order.* Requests That Answers to Petition for Review Be Filed No Later than 921223.W/Certificate of Svc.Served on 921210 ML20126A5751992-12-0808 December 1992 Petition for Review.* Requests That NRC Review LBP-92-32, 921118 Board Decision in Proceeding.Board Erroneously Interpreted Section 105(c) of AEA by Ignoring Fundamental Underpinning of Statute.W/Certificate of Svc ML20126A5871992-12-0808 December 1992 Petition for Review.* Requests That NRC Review ASLB 921118 decision,LBP-92-32.Board Erroneously Interpreted Section 105(c) of AEA by Ignoring Fundamental Underplanning of Statute.Certificate of Svc Encl ML20126A7651992-11-18018 November 1992 Limited Petition for Review of City of Cleveland,Oh of 921118 Decision of Aslb.* City of Cleveland Petition for Review Should Be Granted.W/Certificate of Svc ML20115E1771992-10-0808 October 1992 Comment Supporting Draft Mgt Directive 8.6,GL 92-05 ML20105C8971992-09-16016 September 1992 Comment Opposing Proposed Generic Communication Re Generic Ltr Concerning analog-to-digital Replacements Under 10CFR50.59 ML20114A8841992-08-17017 August 1992 Designation of City of Brook Park,Oh of Adopted Portions of Summary Disposition Pleadings.* Brook Park Not Advancing Any Addl Argument or Analysis in Connection W/Designation,Per 920806 Memorandum & Order.W/Certificate of Svc ML20099E1821992-07-28028 July 1992 Comment Supporting Proposed Rules 10CFR20 & 61 Re LLW Shipment Manifest Info & Reporting ML20099A4051992-07-17017 July 1992 Comment on Proposed Rules 10CFR20 & 50 Re Reducing Regulatory Burden on Nuclear Licensees.Supports Rules ML20101R4831992-07-0808 July 1992 Comment Supporting Proposed Rule 10CFR50 Re Receipt of Byproduct & Special Nuclear Matl 1998-03-27
[Table view] Category:PLEADINGS
MONTHYEARML20101B5841996-01-23023 January 1996 Motion of City of Cleveland,Oh for Partial Summary Judgement Or,In Alternative,For Severance of Issue & Expedited Hearing Procedures.W/Certificate of Svc ML20097B8721996-01-23023 January 1996 Petition of City of Cleveland,Oh for Expedited Issuance of Nov,Enforcement of License Conditions & Imposition of Appropriate Fines,Per 10CFR2.201,2.202,2.205 & 2.206 ML20126D5781992-12-23023 December 1992 Answer of American Municipal Power-OH,Inc in Opposition to Petitions for Review of Oh Edison Co & Cleveland Electric Illuminating Co/Toledo Edison Co.* W/Certificate of Svc ML20126D5171992-12-23023 December 1992 City of Brook Park Answer to Petitions for Review.* Opposes Applicants 921208 Petitions for Review Based on Fact That ASLB Decision in proceeding,LBP-92-32,adequately Addressed Issues Raised in Petitions.W/Certificate of Svc ML20126F6501992-12-23023 December 1992 Answer of City of Cleveland,Oh,Intervenor,In Opposition to Petitions for Review of 921118 Decision of Aslb.* Petitioners Petitions for Review Should Be Denied. Certificate of Svc Encl ML20126D5461992-12-23023 December 1992 Answer of Cleveland Electric Illuminating Co & Toledo Edison Co to Limited Petition for Review of City of Cleveland,Oh of 921118 Decision of Aslb.* Commission Should Deny City of Cleveland Petition.W/Certificate of Svc ML20126D5801992-12-23023 December 1992 NRC Staff Answer in Response to Petitions for Review Filed by Oh Edison Co,Cleveland Electric Illuminating Co,Toledo Edison Co & City of Cleveland.* W/Certificate of Svc ML20126D4761992-12-22022 December 1992 Alabama Electric Cooperative Answer to Applicants Petitions for Review.* Applicants 921208 Petitions for Review Should Be Denied.W/Certificate of Svc ML20126A5871992-12-0808 December 1992 Petition for Review.* Requests That NRC Review ASLB 921118 decision,LBP-92-32.Board Erroneously Interpreted Section 105(c) of AEA by Ignoring Fundamental Underplanning of Statute.Certificate of Svc Encl ML20126A5751992-12-0808 December 1992 Petition for Review.* Requests That NRC Review LBP-92-32, 921118 Board Decision in Proceeding.Board Erroneously Interpreted Section 105(c) of AEA by Ignoring Fundamental Underpinning of Statute.W/Certificate of Svc ML20126A7651992-11-18018 November 1992 Limited Petition for Review of City of Cleveland,Oh of 921118 Decision of Aslb.* City of Cleveland Petition for Review Should Be Granted.W/Certificate of Svc ML20101N5131992-07-0808 July 1992 City of Cleveland Opposition to Applicant Request That Licensing Board Disregard Certain Arguments of City of Cleveland Counsel in Oral Argument.Certificate of Svc & Svc List Encl ML20101N6401992-07-0707 July 1992 Reply by American Municipal Power-Ohio,Inc to Applicant Request That Board Disregard Factual Issues.* Applicant Requests Board Disregard Irrelevant Assertions by All Parties.W/Certificate of Svc ML20101K2101992-06-29029 June 1992 Applicants Request That Licensing Board Disregard Factual Issues Discussed During Oral Argument.* Foregoing Issues Represent Factual Issues Which Board Should Disregard in Disposition of Phase One of Case.W/Certificate of Svc ML20098D5181992-05-26026 May 1992 Reply of City of Cleveland,Oh to Arguments of Applicants & NRC Staff W/Respect to Issues of Law of Case,Res Judicata, Collateral Estoppel & Laches.* W/Certificate of Svc & Svc List ML20096A6281992-05-0707 May 1992 Applicants Reply to Opposition cross-motions for Summary Disposition & Responses to Applicants Motion for Summary Disposition.* Applicants Conclude NRC Has No Authority to Retain Antitrust Licensing Conditions.W/Certificate of Svc ML20090F4261992-03-31031 March 1992 Motion for Summary Disposition of Intervenor,City of Cleveland,Oh & Answer in Opposition to Applicant Motion for Summary Disposition.* City of Cleveland,Oh & Applicant Motions Should Be Denied.W/Certificate of Svc ML20094K3791992-03-18018 March 1992 Applicants Motion to Amend Summary Disposition Schedule.* Applicants Request That Motion to Amend Summary Disposition Schedule Be Granted.W/Certificate of Svc ML20094J2891992-03-0909 March 1992 Response of DOJ to Applicant Motion for Summary Disposition.* Urges ASLB to Resolve Bedrock Legal Issue in Negative & Concludes That Commission Possess Legal Authority to Retain License Conditions.W/Certificate of Svc ML20091N1241992-01-24024 January 1992 Applicants Answer to Cleveland Motion to Amend Schedule for Summary Disposition Motions.* Applicants Have No Objection to Request for Opportunity to Submit Reply.W/Certificate of Svc ML20087E7821992-01-16016 January 1992 Motion to Amend Schedule for Summary Disposition Motions.* Cleveland Requests That Motion Be Granted & 911114 Order Establishing Schedule for Motions for Summary Disposition Be Amended.W/Certificate of Svc & Svc List ML20086U5371992-01-0606 January 1992 Applicants Motion for Summary Disposition.* Requests That Board Grant Applicants Motion for Summary Disposition Due to Lack of NRC Authority to Retain Antitrust License Conditions.W/Certificate of Svc ML20086J4821991-12-31031 December 1991 Reply Brief of City of Cleveland,Oh in Support of Notice of Appeal of Prehearing Conference Order Granting Request for Hearing.* Appeal Should Be Granted,Ref to Board Revoked & Applications Dismissed.W/Certificate of Svc ML20086Q9231991-12-27027 December 1991 Motion of City of Cleveland,Oh for Leave to File Reply & Reply to Applicants Answer to City Motion for Commission Revocation of Referral to ASLB & for Adoption of 910424 Decision as Commission Decision.W/Certificate of Svc ML20086Q3001991-12-24024 December 1991 Applicant Answer to Motion of City of Cleveland,Oh for Commission Revocation of Referral to ASLB & for Adoption of 910424 Decision as Commission Decision. * W/Certificate of Svc ML20091H7161991-12-19019 December 1991 Motion of City of Cleveland,Oh for Commission Revocation of Referral to ASLB & for Adoption of 910424 Decision as Commission Decision.W/Certificate of Svc ML20086J4741991-12-0909 December 1991 Motion of City of Cleveland,Oh for Leave to File Reply Brief.* Motion to File Reply Should Be Granted for Listed Reasons ML20086G4001991-11-26026 November 1991 Ohio Edison Co Motion for Reconsideration.* Util Respectfully Requests That NRC Vacate CLI-91-15 & Direct Forthwith Answer to Licensee Motion to Compel.W/Certificate of Svc ML20079Q0301991-11-0606 November 1991 Oec Motion to Compel NRC Staff to Respond to Interrogatories.* Util Moves Board to Compel NRC to Respond Completely,Explicitly & Properly to Licensee Interrogatories.W/Certificate of Svc ML20076D0481991-07-18018 July 1991 Answer of Cleveland Electric & Toledo Edison to Petition of American Municipal Power-Ohio for Leave to Intervene.* Utils Believe That 910703 Petition Should Be Granted.W/Certificate of Svc ML20076D1611991-07-18018 July 1991 Answer of Ohio Edison Co to Petition of American Municipal Power-Ohio,Inc (AMP-Ohio) for Leave to Intervene.* Util Does Not Object to Admission of AMP-Ohio as Intervenor on Basis of Status as Beneficiary.W/Certificate of Svc ML20081K8961991-06-20020 June 1991 Alabama Electric Cooperative Reply to Oppositions Filed to Petition to Intervene.* Informs of Util Intention to Assure Vindication of Proper Legal Principle.W/Certificate of Svc ML20079D2211991-06-17017 June 1991 Answer of Ohio Edison Co to Opposition of City of Cleveland, Oh to Hearing W/Respect to Denial of Applications to Suspend Antitrust License Conditions & Petition to Intervene in Event Hearing Requested & Granted.W/Certificate of Svc ML20079D2391991-06-17017 June 1991 Answer of Cleveland Electric Illuminating Co & Toledo Edison Co to Opposition of City of Cleveland,Ohio,To Hearing W/Respect to Denial of Applications to Suspend Antitrust License Conditions & Petition to Intervene.* ML20079D2151991-06-14014 June 1991 Answer of Ohio Edison Co to Petition of Alabama Electric Cooperative,Inc for Leave to Intervene.* Alabama Electric Cooperative,Inc Petition for Leave to Interveve Should Be Denied.W/Certificate of Svc ML20079D2161991-06-14014 June 1991 Answer of Cleveland Electric Illuminating Co & Toledo Edison Co to Petition of Alabama Electric Cooperative,Inc for Leave to Intervene.* AEC Has Not Met Burden of Satisfying Regulatory & Common Law Requirements.W/Certificate of Svc ML20077G2551991-05-31031 May 1991 Request for Hearing Re Denial of Application to Amend Perry Operating License to Suspend Antitrust Conditions Insofar as Conditions Apply to Ohio Edison Co.* W/Certificate of Svc ML20077G2591991-05-31031 May 1991 Request for Hearing Re Denial of Application to Amend Perry & Davis-Besse Operating Licenses to Suspend Antitrust Conditions Insofar as Conditions Apply to Cleveland Electric Illuminating Co & Toledo Edison Co.* W/Certificate of Svc ML20077G2741991-05-31031 May 1991 Opposition of City of Cleveland,Ohio to Hearing Re Denial of Applications to Suspend anti-trust License Conditions & Petition to Intervene in Event Hearing Requested & Granted.* W/Certificate of Svc ML20077P6731988-09-13013 September 1988 Comments of City of Cleveland in Opposition to Application for Suspension of OL Antitrust Conditions.Centerior Suspension Application Should Be Denied Based on Listed Reasons.W/Certificate of Svc & Svc List ML20151E2551988-07-15015 July 1988 Opposition of City of Clyde,Oh to Application to Amend Plants OLs to Suspend Antitrust Conditions 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 ML20211K3101986-11-12012 November 1986 Response to State of Oh 861024 & Toledo Coalition for Safe Energy & SA Carter 861028 10CFR2.206 Petitions Requesting Suspension of Ol.Petitioners Identified No Evidence of Violation of NRC Regulations.Certificate of Svc Encl ML20211G6821986-10-27027 October 1986 Petition of Toledo Coalition for Safe Energy & SA Carter Demanding That NRR Require Util to Show Cause Why OL Should Not Be Suspended or Terminated & That Commission Issue Immediate Restraining Order from 861104 Restart.W/Svc List ML20214T6941986-09-29029 September 1986 Response to Util 860918 Filings Re Facility Onsite Burial of Waste.Licensee Proposed Burial Spot Possess Physical Characteristics Likely to Cause Failure of Disposal Facility.Certificate of Svc Encl 1996-01-23
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In the IStter of
) T:ocket i o. 53-3h6
'IOLEDO EDICO:; CCI'PAliY, ET AL.
)
(Davic-I-ecce !Nelear Pover )
Station Unit 1) O(
CERTIFICATE OF SE..iICE I hereby certify that copies of SUFFIEIC::TAL PINITIOII iti: ILAVE TO IIITERVLFr:
cubmitted by Vicki Evans, Co-Chairman of LII1;)10, and Irvin I.
1970 in Octer, Ph.D., Faculty Advisor to LIln..., cated i:ovemler the cantioned natter have been nerved on the followinc Ly deposit in the United States nail, first class or air cail, this 23rd day of liovember 1973:
'7 alter T. Skallerup, Jr., Esq. Leclie IIcnry, Ecq.
"uller, Cency, IIenry & IIodge Chaircan, Atomic Safety and 133 Cuens-Illinoic Euilding Licensing Eoard 435 Madison Avenue 1155 Crest Inne Toledo, Chio 43 60h 1: clean, Virginia 22101 Gerald Charnoff, Esq.
James P. Cleason, Esq., Alternate 3hau, Pittman, Potts, Troubridge Chairman and I*ndden At.omic Unfety and Licensing Eoard 910 17th Street, II. W.
Donahue, Ehmantraut & Gleason 1:sshincton, D. '. 2003o 11125 Rockville Pike Rockville, Mar: land 23352 Paul 'J. dallig, Esq.
Dr. Valter it. Jordan EcEulatory Otnff Councel Cah 111dge I ational Latoratog U. S. Atomic Facrcy Conniccion P . O. Bo:: X rachington, D. C. 20:45 Oak Ridge, Tennescee 37330 Wilson 'T. Cnyder, Ecq.
Dr. Charles E. ilinters Puller, Sency, lienry & 11oace 3303 Fernwood Road 333 Ovens-Illinoic luilding Bethecda, Maryland 23334 h05 ~.adicen Avenue Toledo, Ohio 43 00h Dr. John C. Geyer, Chnirnan Department of Geography and Lonald II. IInucer, Esq.
Environmental Zncineering The Johns llophins University ?ne Cleveland Electric Illuminating Company Laltinore, Maryland 21218 P . O . B o:: 5333 leveland, Ohio hh101 80030507I 7 1
m
_ ice I 53-246 I'r Glenn J. 2anpcon, Vice I4r. iiocer 1. ..illinna
- tonic Encrc- Jourdir,nto -
Prec1Ccnt - Power Jtetc of Ohio Levclop tent The Tolcio D11 con Conpany Lcpartment hPO McGicon lwenue 05 Sotth Front .?,trcet Toledo, Ohio h 3601 P. O. Eon 1031 Colunbn , Ohio h3::15 Honorabic Ecrn T., Johnson President, Locrd of County Connicsioncrr
- Ottcua Count," CoIrthouse Fort Clinton, Ohio h3 h52 L ?detd. Y L t- /WI . _ _ _ _
Office of the Secretarj ol' tb Connirnion cc: I4r. 3kelle:up l'r. Encelhardt Mr. Yore II. Steele II. Caith
d-UNITED STATES OF AMERICA ATOMIC ENERGY COMMISSION in the Matter of )
)
TOLEDO EDISON CO. and )
CLEVELAND ELECTRIC ) Docket No. 50-346 ILLUMINATING C0. )
)
(Davis-Besse Nuclear Power )
Statloa) )
SUPPLEMENTAL PETITION FOR LEAVE TO INTERVENE This Supplemental Petition for Leave to Intervene is filed on behalf i
of the student group at Bowling Green State University called Living in a Finer Environment (hereinaf ter " LIFE") .
Interest of Petitioner LIFE is a nonprofit membership group organized under the rules of Bowling Green State University pertaining to student societies. LIFE is
- made up of students and faculty advisors dedicated to the protection of man's environment, employing legal action where necessary. LIFE has, through education and initiation of action, sought to protect the environ-ment from various forms of pollution. By seeking advice from within and outside the university community, it assures that positions taken are thoroughly supported by scientific evidence. In its activities, LIFF does not concern itself with the pecuniary Interests of individuals; rather,
.it seeks to assure the preservation or restoration of environmental quality on behalf of the general public. Its concern with environmental 1
protection is well.known in northwestern OHIO especially considering the
It c1carly is an fact that It had been organized only In April, 1970.
Interested party with respect to environmental considerations of nuclear power plants and particularly so in the case of the Davis-Besse fluclear Power Plant because of its proposed proximity to Bowling Green.
Interest Affected The Commission has acknowledged in its proposed regulations relating to the National Environmental Policy Act (35 Fed. Reg. 8594, June 3, 1970) that the issuance of a construction permit or an operating license for a nuclear power plant constitutes major federal action which may signifi-The AEC also acknowledges cantly affect the quality of the environment.
that these actions can not be taken until the detalled environmental statement required by NEPA has been prepared. Part of the mission of LIFE is to guarantee that whenever major federal actions which may affect the environment are proposed a full exploration of the Impact of the project on the environment and alternatives to it is conducted. Only when the nec-essary facts are known is it possible to make the judgment required in considering issuance of a construction permit for nuclear power plants.
Contentions This construction permit application cannot be granted until the requirements of the Hattonal Environmental Policy Act (NEPA) have been met. Several aspects of the AEC's procedure and methods of implementation of those procedures applicable to granting construction permits are in direct confilet with NLPA. Proceeding to hold hearings on the proposed construction permit without resolution of many of these conflicts will needlessly delay the ultimate decision on the construction permit.
The purpose of these hearings is to determine whether to issue a
t 3
construction permit for the plant. The applicant contends that a prompt decision is necessary in order to meet public power needs. However, If this proceeding results in the attempted issuance of an " outlaw" permit in-which attempted Issuance occurs without compliance with HEPA, a court Junction will be obtained which will prevent the permit from being issued and will significantly delay construction of the plant. Zabel v. Tabb_,
F. 2d (C. A. 5th, July 16, 1970 holding that HEPA requires the U. S. Army Corps of Engineers to fully consider all environmental factors HIckel, before granting a dredge and fill permit). Ullderness Society _v.
F. Supp. (D.C., April 23, 1970, order of court granting pre-Ilminary injunction against defendant for failure to comply with flEPA);
Sierra Club _ v. Laird, F. Supp. (Ariz., June 23, 1970, order of Court granting preliminary injunction against defendant for failure to comply with NEPA). Any hearing for Issuance of a construction permit which is not preceded by preparation of the detailed environmental state-ment based upon thorough environmental studies, all as required by NEPA, is in violation of flEPA. The hearings should be a forum for all sides to discuss the impact of the environmental statement on the proposed con-struction permit.
The anderlying purpose of flEPA Is to guarantee all citizens that no major federal action which will significantly affect the environment is taken until a thorough study has been undertaken which determines the probable impact of the proposed action on the environment, any unavoidable probable adverse environmental effects, development and description of alternatives to the proposed action which will reduce adverse environmental effects, the relationship between short term uses of man's environment and maintenance and echancement of long-term productivity, Irreversible and Y
4 Irretrievable commitments of resources as a result of the proposed action and consideration of the views of other federal and State agencies. To date the response of the AEC to this mandate has been deplorable. The detailed environmental statements flied with respect to the proposed issuance of construction permits or operating licenses are merely summartes of summaries received from other agencies and from the applicant. In every case the environmental statements reflect the fact that future studies will be conducted to determine the environmental Impact of radioactive re-leases, cooling water discharge, and the Ilke. Conclusions, without underlying data or reasoning, are given in rejecting other alternatives to the plant design, location, operation, use, etc.
The Applicant's Environmental Report flied by The Toledo Edison Company on August 3,1970, is a classic example of these self-serving unsupported conclusions which the Commission merely summarizes in its so-called detailed statement. Moreover, while the Department of Health of the State of OHIO tacitly " endorses the issuance of a construction permit for the proposed Davls-Besse Nuclear Power Station" Dr. E.W. Arnold in his letter of October 14, 1970 to Mr. Harold L. Price, Director of Regulation, quickly adds that the aforesaid endorsement is given "pending full consideration and satisfactory resolution of any testimony offered at the forthcoming pubile hearing which tends to confilet with the radt-atton evaluation and findings of the commission's regulatory staff and of the Advisory Committee on Reactor Safeguards". Dr. Arnold also points out "Lle contend, however, that the (Environmental) repore does not contain sufficient detailed Information to permit an Independent evaluation of l
the total environmental Impact of the proposed faellity if the evaluation I
must be based solely on the content of the report. The report is particu-i
larly lacking in specific qualitative and quantitative data relative to the environmental factors of greatest current public concern--the antici-
~
pated Icvels of radiological and thermal emissions to the environment under normal operating conditions and under foreseeable accident or emer-gency conditions". These contentions coming from so-called appropriate State and/or local agencies "which are authorized to develop and enforce environmental standards" (letter from Mr. Price to the undersigned dated November 6, 1970) serve to reinforce the Petitioners' claims--namely, that the purpose and Intent of the NEPA is not being adhered to in the current proceedings.
The Commission has not yet released its detailed environmental report with respect to the Davis-Besse plant, but an examination of the proposed Appendix D to Part 50 (35 Fed. Reg. 8594, June 3,1970) and of reports flied with respect to other plants (see for instance the Detailed Environ-mental Report flied with respect to the proposed Shoreham Nucicar Power Plant) demonstrate that the Commission considers its job to be nothing more than providing a synthesis of the Applicants unsupported conclusions.
Clearly no attempt is made by the Commission to conduct, or request other federal agencies to conduct, the necessary studies to determine hard facts upon which conclusions are based.
The studies which must be conducted need not be carried on by the AEC Itself. Their obilgation is to see that some federal agency, with the requisite expertise, prepares the studies. The applicant and Intervenors may if they wish prepare their own studies but there must be at least one independent, federally sponsored study of each relevant environmental fac-tor. The results of those studies, particularly examination of alternative proposals, may result in a conclusion that the location, design, or
6-existence of the proposed nuclear power plant must be different than that suggested by the applicant, if such a possibility did not=txist, there would be little purpose, other than window dressing, in prepa-Ing environ-mental reports. It is, therefore, premature for the Board to conduct hearings on the presently proposed location, design and existence of this nucicar power plant.
In addition, even if the AEC had prepared and submitted sufficiently in advance a proper detailed environmental report with the studies required, these hearings would necessarily have to include a discussion of the report and an opportunity for the applicant and the general public to express their views on the proposed modifications in design, location and existence of the plant. The notice of hearing in this matter does not even suggest that environmental factors will be discussed. A construction permit can not be validly issued without discussion of all relevant environmental factors. It is the worst kind of administrative chaos to attempt to resolve the design, location, etc. of a nucicar power plant at one hearing when factors which are relevant to that decision and which will ultimately affect it are not discussed.
For instance, the Water Quality Improvement Act of 1970 sets a State's water quality standard as a minimum standard to be applied by the AEC in issuing construction permits. It should be noted at this point that these standards have not yet been approved for the State of GH10 by the l Department of the Interior. The detailed environmental statement may in-dicate that the specific location of the proposed plant requires even higher water quality standards which can only be met by a change in plant design. These design changes will affect the safety analysis of the plant.
I increased costs as a result of the design changes may warrant a relocation l
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of the plant to an area where less stringent water c ality standards are required. In short the issuance of a construction permit involves the kind of polycentric problem which can only be resolved when all relevant factors are discussed in one hearing.
Under present AEC procedure as exemplified in this proceeding, hearings for construction permits are undertaken even though the thorough environ-mental studies and detailed environmental statement required by NEPA have not been submitted and even though the hearing does not propose to thoroeghly investigate environmental factors. No construction permit can be validly issued until these NEPA requirements are fulfilled.
g 6 s ,u - 2 e - -
For the reasons stated above LIFE requests that it be permitted to Intervene in this proceeding to challenge the issuance of construction permits to the applicant.
Respectfully submitted, f
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Vicki Evans Co-Chairman of LIFE J
(Living in a Finer Environment)
Box 15 Bowling Green State University Bcwling Green, Ohio 43403
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I nvin 1. Oster, Ph.D.
- Faculty Advisor to LIFE and Pr*fessor o of Biology and Anatomy Bowitng Green State University Bowling Green, Ohio 43403 4 SWORN TO before m o_ , cb- o t, a notary public A 'I in and for Wood County in the State of OHIO!Jthis /7 day of November,1970.
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, m dh 0:a . ! >l: 1
!! tary PublIc. (
MAGDELENA Y. DAKEn, Notary 1%bh g 4
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ht cm.nty, Ohio - . Hy Commission Explres: 7/4 Jb/Md My Commission Ex pir es . . . . . . . . . . . . . . . . . .
1-11ovember 18, 1970
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