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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20196G4021999-06-18018 June 1999 Comment on FRN Re Rev of NRC Enforcement Policy NUREG-1600, Rev 1 & Amend of 10CFR55.49.Concurs with Need to Provide Examples That May Be Used as Guidance in Determining Appropriate Severity Level for Violations as Listed ML20206H1881999-05-0606 May 1999 Exemption from Requirements of 10CFR50,App K Re ECCS Evaluation Models. Commission Grants Licensee Exemption ML20206M5111999-04-30030 April 1999 Comment Supporting Draft RG DG-1083 Re Content of UFSAR IAW 10CFR50.71(e). Recommends That Listed Approach Be Adopted for Changes to Documents Incorporated by Ref CY-99-007, Comment Supporting Proposed Changes to Improve Insp & Assessment Processes for Overseeing Commercial Nuclear Industry That Were Published in Fr on 990122 & in SECY-99-0071999-02-22022 February 1999 Comment Supporting Proposed Changes to Improve Insp & Assessment Processes for Overseeing Commercial Nuclear Industry That Were Published in Fr on 990122 & in SECY-99-007 TXX-9825, Comment Endorsing NEI Comments on Proposed Rulemaking to 10CFR50.65, Requirements for Monitoring Effectiveness at Npps1998-12-14014 December 1998 Comment Endorsing NEI Comments on Proposed Rulemaking to 10CFR50.65, Requirements for Monitoring Effectiveness at Npps ML20154C4101998-09-30030 September 1998 Comment Re Proposed Rule 10CFR50 Re Reporting Requirements for Nuclear Power Reactors.Comanche Peak Electric Station Endorses NEI Comment Ltr & Agrees with NEI Recommendations & Rationale ML20216E1051998-04-0707 April 1998 Comment Supporting Draft RG DG-1029 Titled Guidelines for Evaluating Electromagnetic & Radio-Frequency Interference in Safety-related Instrumentation & Control Sys ML20217H3611998-03-26026 March 1998 Comment Opposing Draft GL 97-XX, Lab Testing of Nuclear Grade Charcoal, Issued on 980225.Advises That There Will Be Addl Implementation Costs ML20198Q4851998-01-16016 January 1998 Comment Opposing PRM 50-63A by P Crane That Requests NRC Amend Regulations Re Emergency Planning to Require Consideration of Sheltering,Evacuation & Prophylactic Use of Potassium Iodide for General Public ML20211A4871997-09-12012 September 1997 Changes Submittal Date of Response to NRC RAI Re Proposed CPSES risk-informed Inservice Testing Program & Comments on NRC Draft PRA Documents ML20149L0311997-07-21021 July 1997 Comment on Draft Guides DG-1048,DG-1049 & DG-1050.Error Identified in Last Line of DG-1050,item 1.3 of Section Value/Impact Statement.Rev 30 Should Be Rev 11 ML20140A4871997-05-27027 May 1997 Comment Opposing Proposed Rule Re Safety Conscious Work Environ.Util Agrees W/Nuclear Energy Inst Comment Ltr ML20133G5411996-12-0505 December 1996 Transcript of 961205 Meeting in Arlington,Tx Re Comanche Peak Thermo-Lag Fire Barriers. Pp 1-111 ML20135B7881996-11-29029 November 1996 Order Approving Corporate Restructuring of TU to Facilitate Acquistion of Enserch Corp ML20128M8011996-10-0303 October 1996 Comment Opposing Proposed NRC Generic Communication, Primary Water Stress Corrosion Cracking of Control Rod Drive Mechanism & Other Vessel Head Penetrations ML20097D7321996-02-0909 February 1996 Comment Opposing Petition for Rulemaking PRM-50-63 Re CPSES Request for Amend to Its Regulations Dealing W/Emergency Planning to Include Requirement That Emergency Planning Protective Actions for General Public Include Listed Info ML20094Q6421995-11-28028 November 1995 Comment Supporting Petition for RM PRM-50-62 Re Amend to Regulation Re QAPs Permitting NPP Licensees to Change Quality Program Described in SAR W/O NRC Prior Approval If Changes Do Not Potentially Degrade Safety or Change TSs ML20094H4801995-11-0808 November 1995 Comment Supporting Nuclear Energy Inst Comments on Proposed Rules 10CFR60,72,73 & 75 Re Safeguards for Spent Nuclear Fuel or high-level Radwaste ML20091M6441995-08-25025 August 1995 Comment Opposing Proposed Rule Re Review of Revised NRC SALP Program.Believes That NRC Should Reconsider Need for Ipap or SALP in Light of Redundancy ML20086M7921995-07-0707 July 1995 Comment Supporting Proposed GL Process for Changes to Security Plan Without Prior NRC Approval ML20084A0181995-05-19019 May 1995 Comment Suporting Proposed Rule 10CFR50 Re Containment Leakage Testing.Supports NEI Comments ML20077M7311994-12-30030 December 1994 Comments Opposing Proposed Rule 10CFR50 Re Shutdown & Low Power Operations for Nuclear Power Reactors ML20077L8711994-12-22022 December 1994 Comment Supporting Proposed Rule 10CFR50,55 & 73 Re Reduction of Reporting Requirements Imposed on NRC Licensees ML20073B6731994-09-19019 September 1994 Affidavit of Cl Terry Re License Amend Request 94-015 ML20073B6951994-09-19019 September 1994 Affidavit of Cl Terry Authorizing Signing & Filing W/Nrc OL Amend Request 94-016 ML20058E0561993-11-10010 November 1993 Comment on Proposed Rule Re Staff Meetings Open to Public. Believes That NRC Has Done Well in Commitment to Provide Public W/Fullest Practical Access to Its Activities ML20056G3351993-08-27027 August 1993 Comment Opposing Proposed Rule 10CFR2 Re Review of 10CFR2.206 Process ML20045D8321993-06-11011 June 1993 Comment Supporting Proposed Rules 10CFR50 & 54, FSAR Update Submittals. ML20044F3271993-05-21021 May 1993 Comments on Draft NRC Insp Procedure 38703, Commercial Grade Procurement Insp, Fr Vol 58,Number 52.NRC Should Use EPRI Definitions for Critical Characteristics ML20056C0831993-03-19019 March 1993 Texas Utils Electric Co Response to Petitioners Motion to Stay Issuance of Full Power License.* Licensee Urges NRC to Reject Petitioners Motion & to Deny Petitioners Appeal of 921215 Order.Motion Should Be Denied.W/Certificate of Svc ML20056C1881993-03-17017 March 1993 Order.* Directs Util to Respond to Motion by COB 930319 & NRC to Respond by COB 930322.W/Certificate of Svc.Served on 930317 ML20128D9651993-02-0303 February 1993 Memorandum & Order.* Stay Request Filed by Petitioners Denied.W/Certificate of Svc.Served on 930203 ML20128F6221993-02-0303 February 1993 Transcript of 930203 Affirmation/Discussion & Vote Public Meeting in Rockville,Md.Pp 1-2.Related Info Encl ML20128D3391993-02-0202 February 1993 Emergency Motion to Stay Issuance of low-power Ol.* Petitioners Specific Requests Listed.W/Certificate of Svc ML20128D4651993-02-0202 February 1993 Texas Utils Electric Co Response to Emergency Motion to Stay Issuance of low-power Ol.* Petitioner Request Should Be Denied Based on Failure to Meet Heavy Burden Imposed on Party.W/Certificate of Svc ML20128D3461993-01-29029 January 1993 NRC Staff Notification of Issuance of OL for Facility.* Low Power License May Be Issued by 930201.W/Certificate of Svc ML20128D6321993-01-29029 January 1993 Memorandum & Order.* Denies Citizens for Fair Util Regulation for Fr Notice Hearing on Proposed Issuance of OL for Facility.W/Certificate of Svc.Served on 930129 ML20127L9321993-01-26026 January 1993 Affidavit of Re Architzel Re Thermo-Lag Installation at Testing for Unit 2.* Statement of Prof Qualifications Encl ML20128D6111993-01-26026 January 1993 Joint Affidavit of I Barnes & Ft Grubelich Re Borg-Warner Check Valves.* Discusses Issues Re Borg-Warner Check Valves Raised by Cfur & Adequacy of Actions Taken by TU Electric ML20127L9181993-01-26026 January 1993 NRC Staff Reply to Cfur Request for Publication of Proposed Action Re Licensing of Unit 2.* Cfur Request That Notice Re Licensing of Unit 2 Be Published Permitting Parties to Request Hearings Should Be Denied ML20127L9661993-01-26026 January 1993 Affidavit of Rl Pettis Re Borg-Warner Check Valves.* Statement of Prof Qualifications & Certificate of Svc Encl ML20127L9091993-01-25025 January 1993 Tx Util Electric Response to Citizens for Fair Util Regulation Request of 930113.* Request Fails to Raise Worthy Issue & Should Be Denied.W/Certificate of Svc ML20127L8891993-01-21021 January 1993 Order.* License Should File Response to Citizens for Fair Util Regulation Ltr Requesting That Commission Issue Fr Notice Providing for Opportunity for Hearing Re Issuance of OL by 930125.W/Certificate of Svc.Served on 930122 ML20127G9191993-01-19019 January 1993 Order.* Grants Petitioners Extension of Time Until 930122 to File Brief.Replies to Petitioners Brief Shall Be Filed on or Before 930208.W/Certificate of Svc.Served on 930119 ML20127G9441993-01-19019 January 1993 TU Electric Brief in Opposition to Petitioners Appeal of ASLB Memorandum & Order.* Requests That Petitioners Appeal Be Denied & Licensing Board 921215 Memorandum & Order Be Affirmed.W/Certificate of Svc ML20127G8041993-01-15015 January 1993 NRC Staff Response to Appeal of Licensing Board Decision Denying Petition for Leave to Intervene & Request for Hearing Filed by Bi & Di Orr.* Board 921215 Decision Should Be Upheld.Certificate of Svc Encl ML20127G7451993-01-14014 January 1993 NRC Staff Response to Motion of Petitioners RM Dow & SL Dow, (Disposable Workers of Comanche Peak Steam Electric Station),For Leave to File Out of Time & Request for Extension of Time to File Brief.* W/Certificate of Svc ML20127G7941993-01-12012 January 1993 Opposition of TU Electric to Motion for Leave to File Out of Time & Request for Extension of Time to File Brief by SL Dow (Disposable Workers of Comanche Peak Steam Electric Station) & RM Dow.* W/Certificate of Svc ML20127A5931993-01-0808 January 1993 Brief in Support of Petitioner Notice of Appeal.Aslb Erred by Not Admitting Petitioner Contention & Action Should Be Reversed.W/Certificate of Svc ML20127A6371993-01-0707 January 1993 Notice of Appeal.* Appeal Submitted Due to 921215 Memo Denying Petitioner Motion for Rehearing & Petition for Intervention & Request for Hearings.Proceedings Were Terminated by Aslb.W/Certificate of Svc 1999-06-18
[Table view] Category:PLEADINGS
MONTHYEARML20056C0831993-03-19019 March 1993 Texas Utils Electric Co Response to Petitioners Motion to Stay Issuance of Full Power License.* Licensee Urges NRC to Reject Petitioners Motion & to Deny Petitioners Appeal of 921215 Order.Motion Should Be Denied.W/Certificate of Svc ML20128D3391993-02-0202 February 1993 Emergency Motion to Stay Issuance of low-power Ol.* Petitioners Specific Requests Listed.W/Certificate of Svc ML20128D4651993-02-0202 February 1993 Texas Utils Electric Co Response to Emergency Motion to Stay Issuance of low-power Ol.* Petitioner Request Should Be Denied Based on Failure to Meet Heavy Burden Imposed on Party.W/Certificate of Svc ML20127L9091993-01-25025 January 1993 Tx Util Electric Response to Citizens for Fair Util Regulation Request of 930113.* Request Fails to Raise Worthy Issue & Should Be Denied.W/Certificate of Svc ML20127G9441993-01-19019 January 1993 TU Electric Brief in Opposition to Petitioners Appeal of ASLB Memorandum & Order.* Requests That Petitioners Appeal Be Denied & Licensing Board 921215 Memorandum & Order Be Affirmed.W/Certificate of Svc ML20127G7451993-01-14014 January 1993 NRC Staff Response to Motion of Petitioners RM Dow & SL Dow, (Disposable Workers of Comanche Peak Steam Electric Station),For Leave to File Out of Time & Request for Extension of Time to File Brief.* W/Certificate of Svc ML20127G7941993-01-12012 January 1993 Opposition of TU Electric to Motion for Leave to File Out of Time & Request for Extension of Time to File Brief by SL Dow (Disposable Workers of Comanche Peak Steam Electric Station) & RM Dow.* W/Certificate of Svc ML20127A6131993-01-0707 January 1993 Motion for Leave to File Out of Time & Request for Extension of Time to File Brief.* Petitioners Did Not Receive Order in Time to Appeal & Requests 15 Day Extension from Motion Filing Date to Respond.W/Certificate of Svc ML20127A7911992-12-31031 December 1992 Petitioner Amended Motion for Continuance to File Appeal Brief.* Petitioners Requests Until C.O.B. on 930108 to File Appeal Brief.W/Certificate of Svc ML20127A7641992-12-30030 December 1992 Petitioner Motion for Continuance to File Appeal Brief.* Counsel Requests That Petitioners Be Granted Until 930109 to File Brief in Support of Notice of Appeal.W/Certificate of Svc ML20128C9751992-12-0303 December 1992 NRC Staff Response to Motion to Compel Disclosure of Info Secreted by Restrictive Agreements & Notification of Addl Evidence Supporting Petition to Intervene by B Orr,D Orr, J Macktal & Hasan.* W/Certificate of Svc ML20128B8721992-11-27027 November 1992 NRC Staff Response to Motion for Rehearing by RM Dow, Petitioner.* Motion for Rehearing Should Be Denied for Reasons Explained in Encl.W/Certificate of Svc ML20128A0271992-11-25025 November 1992 Texas Utilities Electric Co Answer to Motion to Compel Disclosure of Info Secreted by Restrictive Agreements.* Util Requests That Petitioners 921118 Motion to Compel Be Denied in Entirety.Certificate of Svc Encl ML20127P8181992-11-25025 November 1992 Texas Utilities Electric Co Answer to Notification of Addl Evidence Supporting Petition to Intervene.* Petitioners Notification Procedurally Improper & Substantively Improper & Should Be Rejected by Board.W/Certificate of Svc ML20116M4591992-11-19019 November 1992 TU Electric Opposition to Motion for Rehearing by RM Dow.* RM Dow 921110 Motion for Rehearing Should Be Denied.W/ Certificate of Svc ML20127M4271992-11-15015 November 1992 Motion to Compel Disclosure of Info Secreted by Restrictive Agreements.* Petitioners Bi Orr,Di Orr,Jj Macktal & SMA Hasan Requests That Board Declare Null & Void Any & All Provisions in Settlement Agreements.W/Certificate of Svc ML20116M3181992-11-10010 November 1992 Motion for Prehearing by RM Dow,Petitioner.* Requests Period of Ten Days to File Supplemental Pleading to Original Petition.Certificate of Svc & Statement Encl ML20106D8881992-10-0808 October 1992 Opposition of Util to Motion for Extension of Time to File Brief by SL Dow Doing Business as Disposbale Workers of Plant & RM Dow.* Request for Extension of Time & to Become Party to Proceeding Should Be Rejected.W/Certificate of Svc ML20106D2821992-10-0505 October 1992 Motion for Extension of Time to File Brief by SL Dow Doing Business as Disposable Workers of Comanche Peak Steam Electric Station & RM Dow.* Petitioner Requests 30-day Extension.W/Certificate of Svc ML20101P5891992-06-30030 June 1992 Response of Texas Utils Electric to Comments of Cap Rock Electric Cooperative,Inc. Dispute Strictly Contractual Issue Involving Cap Rock Efforts to Annul Reasonable Notice Provisions of 1990 Power Supply Agreement ML20127K8141992-05-19019 May 1992 Request to Institute Proceeding to Modify,Suspend or Revoke License Held by Util for Unit 1 & for Cause Would Show Commission That Primary Place of Registration for Organization Is Fort Worth,Tarrant County,Tx 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 ML20095C4691992-04-17017 April 1992 TU Electric Answer to Application for Hearings & Oral Argument by M Dow & SL Dow.* Concludes That NRC Should Deny Application for Oral Argument & Hearings on Petition to Intervene & Motion to Reopen.W/Certificate of Svc ML20091E2561992-04-0606 April 1992 Application to Secretary for Hearings & Oral Argument in Support of Motion for Leave to Intervene out-of-time & Motion to Reopen Record Submitted by SL Dow Dba Disposable Workers of Comanche Peak Steam Electric Station & RM Dow.* ML20094K4161992-03-16016 March 1992 TU Electric Answer to Petition to Intervene & Motion & Supplemental Motion to Reopen by M Dow & SL Dow & TU Electric Request for Admonition of Dows.* Concludes That Motion Should Be Dismissed.W/Certificate of Svc ML20091A0461992-03-13013 March 1992 Suppl to Motion to Reopen Record.* Requests That NRC Reopen Record & Suspend License Pending New Hearings on Issue. W/Certificate of Svc ML20090C4241992-02-24024 February 1992 Motion to Reopen Record.* Requests That NRC Reopen Record & Suspend OL for Unit 1 & CP for Unit 2,pending Reopening & Final Decision.W/Certificate of Svc ML20090C4431992-02-21021 February 1992 Petition for Leave to Intervene Out of Time.* Requests That Petition for Leave to Intervene Out of Time Be Granted for Listed Reasons.W/Certificate of Svc ML20086Q3811991-12-26026 December 1991 Case Response to Portions of Motion of R Micky & Dow to Reopen Record.* Submits Responses to Motions to Reopen Record ML20086Q3121991-12-26026 December 1991 Case Motion for Leave to File Response to Portions of Motion of R Micky & Dow to Reopen Record.* Requests That NRC Recognize J Ellis as Case Representative for Filing & Pleading Purposes.W/Limited Notice of Appearance ML20091G2511991-12-0202 December 1991 Licensee Answer to Motion to Reopen Record by M Dow & SL Dow.* Requests That Petitioners Motion Be Denied for Listed Reasons.W/Certificate of Svc & Notices of Appearance ML20086G7381991-11-22022 November 1991 Motion to Reopen Record.* Requests That Licensing Board Reopen Record & Grant Leave to File Motion to Intervene. W/Certificate of Svc ML20006C4811990-02-0101 February 1990 Applicant Answer to Request for Stay by Citizens for Fair Util Regulation (Cfur).* Cfur Failed to Satisfy Burden to Demonstrate Necessity for Stay & Request Should Be Denied. Certificate of Svc Encl ML20006B1691990-01-27027 January 1990 Second Request for Stay Citizens for Fail Util Regulation.* Requests That NRC Stay Fuel Loading & Low Power Operation of Unit 1 Until 900209.Certificate of Svc Encl ML20248J3601989-10-15015 October 1989 Request for Stay Citizens for Fair Util Regulation.* Requests That Commission Retain Authority to Order That Fuel Loading & Low Power License Not Be Immediately Effective,Per Util Intent to Request License.Certificate of Svc Encl ML20246B8671989-08-17017 August 1989 Motion for Reconsideration of NRC Memorandum & Order CLI-89-14.* NRC Should Excuse Itself from Consideration on Matters Re Jj Macktal & Should Refer All Issues on NRC Requested Subpoena to Independent Adjudicatory Body ML20248D6291989-08-0202 August 1989 Jj Macktal Statement Re Motion for Recusation.* Macktal Motion Considered Moot Due to Commission No Longer Having Jurisdiction to Consider Motion Since Macktal Not Party to Proceeding Before Nrc.W/Certificate of Svc ML20247Q3851989-07-26026 July 1989 Withdrawal of Motion to Reopen Record.* Withdraws 890714 Motion to Reopen Record.W/Certificate of Svc ML20245J7331989-07-26026 July 1989 Request of Cap Rock for Reevaluation of Director'S Determination That No Significant Changes in Licensee Activity Warrant Antitrust Review at OL Stage.Certificate of Svc Encl ML20247B5901989-07-19019 July 1989 Motion to Reopen Record.* Requests Board to Reopen Record & Grant Leave to Renew Earlier Motion for Intervention Status. W/Supporting Documentation & Certificate of Svc ML20248D5731989-07-0303 July 1989 Motion for Reconsideration.* Requests Reconsideration of NRC 890122 Order on Basis That NRC Subpoena Filed for Improper Purposes & NRC Lacks Jurisdiction Over Matters Presently Before Dept of Labor ML20248D5541989-07-0303 July 1989 Motion for Recusation.* Requests That NRC Recuse from Deciding on Macktal Cases on Basis That NRC Will Not Be Fair & Impartial Tribunal.W/Certificate of Svc ML20245J9411989-06-30030 June 1989 Response of Texas Utils Electric Co to Request of Cap Rock Electric Cooperative,Inc,For Order Enforcing & Modifying Antitrust License Conditions ML20248D4891989-06-13013 June 1989 Motion for Protective Order.* Requests That Jj Macktal Deposition Be Taken at Stated Address in Washington,Dc & That Testimony Remain Confidential.W/Certificate of Svc ML20011E8571989-02-10010 February 1989 Reply of Cap Rock Electric Cooperative,Inc to Comments of Texas Utils Electric Co.* Texas Utils Response Considered Irrelevant,Mainly Incorrect or Misleading.Certificate of Svc Encl ML20155A8251988-10-0303 October 1988 NRC Staff Response to Citizens for Fair Util Regulation First Suppl to Request for Hearing & Petition for Leave to Intervene.* Petition & Requests for Hearings Should Be Denied.W/Certificate of Svc ML20154Q2021988-09-28028 September 1988 Applicant Reply to Citizens for Fair Util Regulation (Cfur) First Suppl to 880811 Request for Hearing & Petition for Leave to Intervene.* Cfur Request Should Be Denied. Certificate of Svc Encl ML20150E2131988-07-13013 July 1988 Citizens Audit Motion for Stay & Motion for Sua Sponte Relief.* Requests Time to Review Concerns of J Doe & for Relief for Listed Items in Order to Act as Intervenor in Proceeding.W/Certificate of Svc ML20151A6181988-07-12012 July 1988 Motion for Petitioners to Appear Pro Se.* Petitioners Request to Appear Before Board at 880713 Hearing in Order to Present Arguments in Support of Petitioners Motions & for Stay of Proceedings.W/Certificate of Svc ML20150E1831988-07-12012 July 1988 Response of Applicant to Motions to Stay,To Intervene & for Sua Sponte Relief Filed by Various Petitioners.* Papers Filed by Petitioners Should Be Rejected & Denied & Dismissal of Proceedings Be Completed.W/Certificate of Svc 1993-03-19
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. 1 May 14, 1981 l MAY 1 BM 7;) os g . -1 s/ UNITED STATES OF AMERICA 8
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, NUCLEAR REGULATORY COMMISSION i
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u, Ik ,, BEFORE THE ATOMIC SAFETY AND LICENSING B KRD '"N 2 ] Jgg In the Matter of
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TEXAS UTILITIES GENERATING COMPANY, et al.
)
) Docket Nos. 50-4 n
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) 50-446
)
(Comanche Peak Steam Electric ) (Application for Station, Units 1 and 2) ) Operating License)
APPLICANTS' MOTION TO STRIKE ACORN CONTENTIONS FOR DEFAULT OR, IN THE ALTERNATIVE, TO COMPEL RESPONSES TO APPLICANTS' INTERROGATORIES Pursuant to 10 C.F.R. {2.707, Texas Utilities Gener-ating Company, et al. (" Applicants") hereby move the Atomic Safety and Licensing Board (" Board") in the captioned pro-ceeding to strike from this proceeding Contentions 10, 12, 14, 15, 17, 18, 19 and 21 in view of the total default of l
1 Texas Association of Community Organizations for Reform Now (" ACORN") in responding to Applicants' second and third sets of interrogatories. In the alternative, Appli-l l cants move, pursuant to 10 C.F.R. $2.740(f), that the l
l Board promptly issue an order compelling ACORN to provide full and complete responses to Applicants' interrogatories I on an abbreviated schedule.
I. Backcround l
i ACORN's participation in this proceeding is marked by a repeated and flagrant disregard for the Rules of Practice and the responsibilities of a party under the Rules. In particular, ACORN has consistently failed to SS*6 8105220377 @ 9/
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2-meet the requirements governing discovery in NRC licensing proceedings. As demonstrated below, ACORN's failure to provide any responses to Applicants' discovery requests with respect to 8 of the 13 contentions of ACORN constitutes a default pursuant to 10 C.F.R. 2.707, and the Board I
j should strike those contentions from this proceeding.
On June 16, 1980, the Board issued an Order subsequent to the second prehearing conference in which several contentions sponsored by ACORN were admitted in the proceeding. 1/ In that Order, the Board did not set a schedule for discovery, but admonished the parties to submit discovery requests and responses thereto with
" reasonable promptness."
Pursuant to the Board's June 16, 1980 Order, Applicants filed their first set of interrogatories to ACORN on August 13, 1980. Rather tha" recount here the de?. ailed history of ACORN's failures to respond, we invite the Board's attention to the discussion set forth in the Board's Memorandum and Order, dated April 13, 1981, granting Applicants' modified motion to compel ACORN to respond to Applicants' first set of interrogatories.
Suffice it to note that eight months after responses were due, ACORN has provided only a handful of adequate answers to those interrogatories, while almost two-thirds of the
~1/ ACORN's contentions are 5, 10, 12, 13, 14, 15, 16, 17, 18, 19, 20, 21 and 23.
1 interrogatories directed at other contentions of ACORN havr received no response or supplementation.
On March 2,'1981, Applicants served their second set of interrogatories to ACORN. Those interrogatories concerned Contentions 10, 12 and 14, dealing with asymmetric loading from pipe breaks, evaluating compliance with GDC 2, and d.c.
power systems, respectively. ACORN was required to respond to those interrogatories by March 23, 1981. 10 C.F.R.
$2.740b(b). However, Applicants received no response from ACORN regarding those interrogatories. Accordingly, Applicants moved on March 31, 1981 for an order compelling ACORN to respond to those interrogatories. ACORN did not even respond to Applicants' motion. 2/
Again, on April 10, 1981, Applicants served inter-
- rogatories to ACORN. This third set of interrogatories concerned Contentions 15, 17, 18, 19 and 21, dealing with instrumentation for mon'.toring an accident, effects of aging and cumulative radiation, pressure transients, steam generator corrosion and accidents involving heavy loads around spent fuel, respectively. ACORN was to serve its responses to those interrogatories by April 29, 1981.
10 C.F.R. $2.740b(b). However, as with Applicants' second l
l set of interrogatories, ACORN provided no response to this i
-2/ If the Board grants the instant motion to strike, Appli-cants March 31, 1981 motion to compel would become moot.
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third set of interrogatories. In view of the above facts, Applicants move the Board to strike those contentions.
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l II. Applicants' Motion to Strike I
The NRC Rules of Practice provide that "on failure of a party to file an answer or pleading within the time pre-scribed, ...the nresiding officer may make such orders in regard to the failure as are just." 10 C.F.R. $2.707. Also, the presiding officer is vested with the authority to regu-late the course of the proceeding and the conduct of the participants. 10 C.F.R. {2.718. Accordingly, Applicants submit that ACORN's failure to provide the required responses to Applicants' second and third sets of inter-rogatories constitutes a default under 10 C.F.R. $2.707.
Further, an order striking from this proceeding the contentions which are the subject of those interrogatories would be a wholly just and reasonable action and within the Board's discretion.
First, ACORN is required to provide responses to Applicants' interrogatories, either in the form of answers or objections thereto. 10 C.F.R. $2.740b(b). In fact, ACORN is aware of its responsibilities concerning dis-covery. At the request of the present Board Chairman, the NRC Of fice of the Secretary forwarded to each Intervenor i
l l
i l
on November 17, 1980 copies of the decision by the Appeal Board in Pennsylvania Power and Light Co. (Susquehanna Steam Electric Station, Units 1 and 2), ALAB-619, 12 NRC 317(1980). That decision clearly sets forth the applicable principles governing discovery in NRC proceed-ings. In particular that decision states, as follows:
It is not proper for a party to ignore a discovery request. Interrogatories, for example, must either be answered or objected to in the time allowed. 10 C.F.R. $2.740b(b)....
The Applicants in particular carry an unrelieved burden of proof in Commission proceedings. Unless they can effectively inquire into the position of the intervenors, discharging that burden may be impossible. To permit a party to make skeletal contentions, keep the bases for them secret, then require its adversaries to meet any conceivable thrust at hearing would be patently unfair, and inconsistent with a sound record.
[Susquehanna, supra, 12 NRC at 3 22, 338 (citations omitted).]
In addition, the Board emphasized the above principles in its April 13, 1981, Memorandum and Order directed at ,
ACORN. Thus, ACORN's decision to ignore totally Applicants' second and third set of interrogatories can be taken as nothing other than a flagrant disregard for the Board's admonitions and the Rules of Practice, and tantamount to a refusal to participate in this proceeding with rs opect to
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the contentions which are the subject of those interroga-tories. 3/ Accordingly, ACORN's failure to file the required pleadings is a default under 10 C.F.R. $2.707.
Further, it is within the discretion of the Board to take appropriate measures in view of ACORN's default, in-cluding striking ACORN's contentions from this proceeding.
Section 2.707 of 10 C.F.R. provides that the presiding officer may make such orders as are just in view of a default. In addition, the presiding officer has the " authority" to regulate the course of the proceeding and the conduct of the partcipants. 10 C.F.R. $2.718. Certainly it is within the Board's discretin to strike from this proceeding the subject contentions.
( Finally, an Order striking Contentions 10, 12, 14, 15, 17, 18, 19 and 21 would be just and appropriate in this situation. ACORN has totally ignored Applicants' second and third set of interrogatories (and all of the NRC Staff's) and did not respond to Applicants' motion to compel with respect to the second set. Further, in view of ACORN's 3/ Neither has ACORN provided any response to the NRC Staff's interrogatories concerning its contentions.
See "NRC Staff First Set of Interrogatories To and Request for The Production of Documents From, Intervenor ACORN," dated January 19, 1981; and " Staff's Motion For Order Compelling ACORN To Respond To NRC Staff Interrogatories and Request for Production of Documents," dated March 16, 1981.
_ . - . _ ___ _ ____ ~,
. 1 i
I l
knowledge of its duty to respond, its failure to respond l could be taken as a decision not to prosecute the suoject contentions. As the Supreme Court has stated:
It is still incumbent upon intervenors who wish to participate to structure their participation so that it is meaningful, so that it alerts the agency to the intervenors' position and contentions.
[Vernont Yankee Nuclear Power Corp. v. NRDC, 435 U.S. 319, 553 (1978).]
Such " meaningful participation" includes clarification of the party's contentions and a willingness to make such efforts as are necessary to establish the party's position so that it may be considered in the proceeding. See Vermont Yankee, supra, at 554.
At bottom, the issue at bar is whether the Board has the authority to strike (dismiss) contentions if the proponent of the contentions fails to comply or object to lawful j discovery demands, or whether the Board must take the intermediate step of issuing an order compelling responses.
l 10 C.F.R. {2.740(f). We belive that where a party has demonstrated a pattern of contumacy such as ACORN has here in totally ignoring the Rules of Practice and fairplay, the Board may and should refuse to perpetuate the delay by allowing the recalcitrant party even more time. Applicants are entitled to timely fulfillment of lawful discovery requests. Where, as here, a party fails even to object to such requests and the pattern of behavior is clear, the
Board may, in its discretion, forego issuing an order to compel, and strike the subject contentions. There is no legal requirement that the Board must issue an order compel-ling discovery before doing so.
For the foregoing reasons, Applicants move the Board to find ACORN in default and order that Contentions 10, 12, 14, 15, 17, 18, 19 and 21 be struck from any further consideration in this proceeding.
III. Applicants' Alternative Motion to Compel In the event the Board does not grant the above motion to strike ACORN's contentions, the Applicants move in the alternative that the Board promptly issue an order compelling ACORN to provide adequate responses to the Applicants' second and third sets of interrogatories to ACORN. As detailed above, ACORN has not yet responded or objected to those interrogatories, even though its answers were due March 23 (second set) and April 29 (third set),
I 1981. 10 C.F.R. $2.740b(b). Nor has ACORN moved for an extension of time in which to file its responses. Accord-i i
ingly, an Order compelling responses to Applicants' inter-
~
rogatories or an abbreviated schedule (i.e., within 15 days of the date of the Order) is warranted should the Board not grant Applicants' motion to strike. 4/
Respec,f ly submitted, I A Nicho Lsf . Reynolds Q
William A. Horin O.fu DEBEVOISE & LIBERMAN 1200 Seventeenth Street, N.W.
i Washington, D.C. 20036
! (202) 857-9817 '
Counsel for Applicants May 14, 1981 l -4/ Applicants note that on April 30, 1980, ACORN served l a " Notice of Substitution of Counsel." However, that l notice did not provide the information required by 10 C.F.R. 2.713(a). Accordingly, ACORN should provide an appropriate notice of appearance of counsel pursuant to that section.
l
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l UNITED STATES OF AMERICA '
NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In .the Matter of - ) -
)
TEXAS UTILITIES GENERATING ) Docket Nos. 50-445 COMPANY, -et al. ) 50-446
)
(Comanche Peak Steam Electric ) (Application for Station, Units 1 and 2) ) Operating License) i CERTIFICATE OF SERVICE I hereby certify that copies of the foregoing " Applicants' Motion To Strike ACORN Contentions For Default Or, In The Alternative, To Compel Responses To Applicants' Interrogatories,"
in the above-captioned matter were served upon the following persons by deposit in-the United States mail, first class postage prepaid this 14th day of May, 1981:
i Valentine B. Deale, Esq. Chairman, Atomic Safety and Chairman, Atomic Safety and Licensing Appeal Panel Licensing Board U.S. Nuclear Regulatory 1001 Connecticut Avenue, N.W. Commission Washington, D.C. 20036 Washington, D.C. 20555 Dr. Forrest J. Remick, Member Marjorie Ulman Rothschild, Esq.
Atomic Safety and Licensing Office of the Executive Board Legal Director 305 E. Hamilton Avenue U.S. Nuclear Regulatory State College,, Pennsylvania 16801 Commission Washington, D.C. 20555 Dr. Richard Cole, Member Atomic Safety and Licensing David J. Preister, Esq.
Board Assistant Attorney General U.S. Nuclear Regulatory Environmental Protection Commission Division i
Washington, D.C. 20555 P.O. Bon 12548
, Capitol Station l' Chairman, Atomic Safety and Austin, Texas 78711 Licensing Board Panel U.S. Nuclear Regulatory Mr. Richard L. Fouke Commission CFUR Washington, D.C. 20555 1668B Carter Drive Arlington, Texas 76010 l
- -e, Arch C. McColl, III, Esq. Dwight H. Moore 701 Commerce Street West Texas Legal Services Suite 302 100 Main Street (Lawyers Bldr.)
Dallas, Texas 75202 Fort Worth, Texas 76102 Jeffery L. Hart, Esq. Mr. Chase R. Stephens 4021 Prescott Avenue Docketing & Service Branch Dallas, Texas 75219 U.S. Nuclear Regulatory Commission Mrs. Juanita Ellis Washington, D.C. 20555 President, CASE 1426 South Polk Street Dallas, Texas 75224
.t> 0-William A. Horin cc: Homer C. Schmidt Spencer C. Relyea, Esq.
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