|
---|
Category:INTERROGATORIES; RESPONSES TO INTERROGATORIES
MONTHYEARML20155F7031988-06-10010 June 1988 Applicant Supplemental Responses to Case Discovery Requests.* Suppls Responses to Interrogatories 31 & 32 & Interrogatory 32 .W/Certificate of Svc. Related Correspondence ML20155F6751988-06-0808 June 1988 Applicant Supplementation to Answers to Case 850827 Interrogatories to Applicant (850827).* No Further Documents Will Be Provided in Response to Interrogatories H-3 & H-6. Certificate of Svc Encl.Related Correspondence ML20148D4911988-03-22022 March 1988 Applicant Supplementation to Answers to Case Interrogatories to Applicant (870825).* Certificate of Svc Encl.Related Correspondence ML20148D0571988-01-22022 January 1988 Applicant Supplementation to Answers to Case Interrogatories to Applicants (850827).* W/Certificate of Svc.Related Correspondence ML20236X2161987-12-0404 December 1987 Permittees Supplemental Response to Meddie Gregory Interrogatories & Request for Documents (Set 5).* Response to 870409 Interrogatories Re Seismic Design of Control Room Ceiling.Certificate of Svc Encl.Related Correspondence ML20236X3191987-12-0404 December 1987 Applicant Supplementation to Answers to Case Interrogatories to Applicant 850827.* Related Correspondence.Certificate of Svc Encl ML20236X3301987-12-0404 December 1987 Supplemental Response to Intervenors Document Production Request Dtd 870619.* Related Correspondence.Certificate of Svc Encl ML20235W1931987-10-0707 October 1987 Supplemental Response to Intervenors Document Production Requests.* Applicants Will Make Listed Matls Available to Intervenors Representatives for Exam & Copying in Dallas,Tx Ofcs.W/Certificate of Svc.Related Correspondence ML20235F2521987-09-22022 September 1987 Applicant Supplementation to Answers to Case Interrogatories to Applicant (850827).* Updated Organization Charts Available for Review.Resumes Will Be Obtained Upon Request. W/Certificate of Svc.Related Correspondence ML20237L7181987-08-19019 August 1987 Supplemental Responses to Case Interrogatories Re Mac Rept & Issues Raised by Mac Rept ML20238A7531987-08-14014 August 1987 Responses to Consolidated Intervenors (870619) Interrogatories & Request for Production of Documents.* Certificate of Svc Encl.Related Correspondence ML20237K1941987-08-10010 August 1987 Further Answers to Comanche Peak Review Team Interrogatories (Set 12) Re Reinsp Program for Random Errors.* Related Correspondence ML20236E8041987-07-22022 July 1987 Applicants Supplementation to Answers to Case Interrogatories to Applicants (850827).* Certificate of Svc Encl.Related Correspondence ML20235G5011987-07-0606 July 1987 Case Supplementary Response to Applicants Interrogatories to Consolidated Intervenors (Set 1987-1) & Motion for Protective Order.* Certificate of Svc & Three Oversize Newspaper Articles Encl ML20215J8801987-06-19019 June 1987 Consolidated Intervnors Interrogatories & Reguest for Production of Documents to Applicant Texas Utilities Electric Co (870619).* Related Correspondence ML20215J7741987-06-19019 June 1987 Applicants Interrogatories to Intervenor (Set No. 1987-9).* Certificate of Svc Encl.Related Correspondence ML20215K2951987-06-15015 June 1987 M Gregory Response to Applicants Interrogatories to Consolidated Intervenors (Set 1987-1) & Motion for Protective Order.* Certificate of Svc Encl ML20214W5711987-06-0808 June 1987 Applicant Supplemental Responses to Case 860630 Interrogatories & Request for Documents.* Info Requested from Stone & Webster Submitted as Interrogatory 32.W/ Certificate of Svc.Related Correspondence ML20214W5601987-06-0606 June 1987 Case Response to Applicant Interrogatories to Consolidated Intervenors (Set 1987-1).* Case Would Object to & Moves for Protective Order Against Having to Go Into More Extensive Detail Pending Completion of Discovery ML20214P0861987-05-28028 May 1987 Further Answers to Interrogatories (Comanche Peak Response Team Sets 1-7).* Applicant Suppls Responses to Certain Interrogatories Propounded by Case,Per Board Orders Rendered on 861215.W/Certificate of Svc.Related Correspondence ML20214N1021987-05-21021 May 1987 Applicants Supplementation to Answers to Case Interrogatories to Applicants (850827).* Related Correspondence ML20206M4411987-04-15015 April 1987 Permittees Final Responses to M Gregory Interrogatories & Request for Production of Documents (Set 5).* Certificate of Svc Encl.Related Correspondence ML20206H0201987-04-13013 April 1987 Permittees Further Responses to M Gregory Interrogatories & Request for Production of Documents (Set 5).* Responds to Interrogatories Re Housekeeping & Sys Cleanliness. Certificate of Svc Encl.Related Correspondence ML20206H0941987-04-13013 April 1987 Permittees Further Responses to Meddie Gregory Interrogatories & Request for Production of Documents (Set 5).* Certificate of Svc Encl.Related Correspondence ML20206H0031987-04-13013 April 1987 Permittees Further Responses to M Gregory Interrogatories & Request for Production of Documents (Set 5).* Certificate of Svc Encl.Related Correspondence ML20205M2781987-03-30030 March 1987 Permittees Further Responses to M Gregory Interrogatories & Request for Production of Documents (Set 5).* Cables Must Be Separated from Conduits Inside Panels by Min Distance of 6 Inches.W/Certificate of Svc.Related Correspondence ML20205L8151987-03-30030 March 1987 Permittees Further Responses to M Gregory Interrogatories & Request for Production of Documents (Set 5).* Certificate of Svc Encl.Related Correspondence ML20205L8281987-03-28028 March 1987 Case Response to Applicant Interrogatories to Intervenor (Set 1987-4) & Motion for Protective Order.* Applicant Discovery Conflicts W/Board Assurance That Case Will Have Sufficient Time to Analyze Data.W/Certificate of Svc ML20205R5201987-03-27027 March 1987 Permittees Further Responses to M Gregory Interrogatories & Request for Production of Documents (Set 5).* Certificate of Svc Encl.Related Correspondence ML20204B7441987-03-20020 March 1987 Case Response to Applicant Interrogatories to Intervenor (Set 1987-6) & Motion for Protective Order.* Identification of Experts Not Discoverable Due to Irrelevancy of Opinions Based on Work in Progress.Certificate of Svc Encl ML20205M1831987-03-20020 March 1987 Applicant Supplementation to Answers to Case Interrogatories to Applicant (850827).* Updated Charts Available for Review. Resumes Obtained & Will Be Provided If Specifically Requested.W/Certificate of Svc.Related Correspondence ML20204B7211987-03-20020 March 1987 Case Response to Applicant Interrogatories to Intervenor (Set 1987-5) & Motion for Protective Order.* Applicant Requests Premature & Unanswerable by Case Until Comanche Peak Response Team Discovery Complete.W/Certificate of Svc ML20204B6651987-03-18018 March 1987 Applicant Interrogatories to Consolidated Intervenors (Set 1987 -1).* All Instances of Alleged Applicant Intentional Conduct to Delay Const of Unit 1 Requested.Certificate of Svc Encl.Related Correspondence ML20212N5981987-03-0505 March 1987 Applicants Interrogatories to Intervenor (Set Number 1987-8).* Interrogatories Concern Application for Ol. Certificate of Svc Encl.Related Correspondence ML20212D0511987-02-26026 February 1987 Applicant Interrogatories to Intervenor (Set 1987-6).* Set of Interrogatories Re Identifying Experts Consulted W/Or Retained by Intervenor W/Respect to Problems in Facility. Related Correspondence.Certificate of Svc Encl ML20212C8581987-02-26026 February 1987 Applicants Interrogatories to Intervenor (Set No 1987-7).* Info Re Walsh/Doyle Issues &/Or Allegations Requested. W/Certificate of Svc.Related Correspondence ML20212D1381987-02-24024 February 1987 Applicants Interrogatories to Intervenor (Set No. 1987-5).* Interrogatories Re Application for Ol.Certificate of Svc Encl.Related Correspondence ML20211F5681987-02-18018 February 1987 Applicants Interrogatories to Intervenor (Set No 1987-4).* Certificate of Svc Encl.Related Correspondence ML20211C9641987-02-13013 February 1987 Permittees Supplemental Response (Motion for Protective Order) to Meddie Gregory Interrogatories & Request for Production of Documents (Set 5).* Related Correspondence ML20211D0011987-02-10010 February 1987 Permittees Supplemental Responses to M Gregory Interrogatories (Set 5).* Suppls Responses to M Gregory Interrogatories & Request for Production of Documents. Certificate of Svc Encl.Related Correspondence ML20210E4481987-02-0303 February 1987 Permittees Initial Responses to M Gregory Interrogatories & Request for Production of Documents (Set 5).* Related Correspondence ML20209B0791987-01-29029 January 1987 Applicant Interrogatories to Intervenor (Set 1987-3).* W/Certificate of Svc.Related Correspondence ML20209B0321987-01-29029 January 1987 Applicant Interrogatories to Case (Set 1987-1).* Related Correspondence ML20209B0581987-01-29029 January 1987 Applicant Interrogatories to Case (Set 1987-1).* Related Correspondence ML20212R6211987-01-27027 January 1987 Supplemental Staff Answers to Case Interrogatories.* Suppls 861205 Answers to Case 860922 Discovery Request & Interrogatories 2,4 & 8.Affidavit & Certificate of Svc Encl. Related Correspondence ML20212K6991987-01-21021 January 1987 Applicants Supplementation to Answer to Case Interrogatories to Applicants (850827).* Certificate of Svc Encl.Related Correspondence ML20207Q2721987-01-16016 January 1987 M Gregory Request for Production of Documents (Set 6).* Certificate of Svc Encl.Related Correspondence ML20212E7501986-12-30030 December 1986 Meddie Gregory Interrogatories & Request for Production of Documents (Set 5).* Certificate of Svc Encl.Related Correspondence ML20211M8661986-12-0808 December 1986 Response to Case 860918 Eleventh Set of Interrogatories Re Adequacy of Design Aspects of Comanche Peak Response Team Program Plan.Applicant Moves for Protective Order.W/ Certificate of Svc.Related Correspondence ML20211M8901986-12-0808 December 1986 Answers to Case 860918 Tenth Set of Interrogatories Re Adequacy of Design Aspects of Comanche Peak Response Team Program Plan.Applicant Moves for Protective Order.W/ Certificate of Svc.Related Correspondence 1988-06-08
[Table view] 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] |
Text
__ _ .
s IM.E2 2. :::y.7,r. ?.-
UNITED STATES OF AI'. ERICA EWACY I' # b' NCCLEAR REGULATORY CO!!'CSSION '
- 3
~~
BEFORE THE ATOMIC SAFETY A:ID LICENSING BOARD c .
i q
> 7 - y
't In the Matter of S ~
3 --i Fj l TEXAS UTILITIES GENERATING COMPANY, S DocketCNos. O-445 l
ET AL S 50-446 S
(Comanche Peak Steam Electric Station, S Units 1 and 2) S
. ACORN'S ANSWERS TO APPLICANTS' FIRST SET OF INTERROGATORIES i
ACOPli files this its Original Answer to Applicants' First Set of Interrogatories to ACORN and Requests to Produce pursuant to the Board's Memorandum and Order, dated December 19, 1930.
Most responses herein will be supplemented at a later date af ter ACOP3 has .a clearer idea of available resources and witnesses, and after meetings are arranged with other inter-vening parties on response to the Board's Memorandum and Order of Decerber 31, 1980, regarding consolidation and designation of Lead Party-Intervenors.
'i '
~."
~
2
4
, s,
~ ~~
u.. JL
-]
~
- g 'g". \
w ge7
?l Q l
'"D;.
\
- n. l'.,_. N/ i bl** y[::'et'nco#r' i
l- $ >*'
'., 14 ,' ' / .,
Ig q \
8 3 0118 00Y1 c,
~
ANSWERS
- 1. The CPSES structures have not been property constructed and pose a danger to the health, safety, security and defense of the public.
- 2. The basis has previously been provided to the NRC in pleadings, including selected I&E Reports. Additionally, ACORN has had conversations with prior employees of Brown & Root who worked at CPSES.
- 3. Not at this time.
- 4. Not known, records not kept. Parties have had contact with each other primarily through intervention in Texas Utility operating company rate proceedings in Austin, Texas. With regard to Contention 5, ACORN has contributed a few hours of time to preparation of CFUR's trend analysis on I&E Reports.
- 5. No meetings.specifically with respect to contention 5.
I Prior to the framing of Contention 5, several meetings were had with prior employees of Applicants contractor.
- 6. Not at this time.
l i 7. Y,s, but definite preparations have not been made.
l
- 8. Not known at this time.
- 9. Not known at this time 6
(
l L
I
- 10. Yes.
- a. Provision 4 regarding compliance with 10 CFR Part 51 and other portions regarding compliance with regulations and statutes and generally inferring proper and safe construction completion prior to August 1, 1981.
- b. Failure to comply to regulatory requirements of 10 CFR Part 51.
- c. Irrelevant, but see responses to 1 and 2 above.
- 11. Applicants have failed to comply with regulatory require- '
ments.
- 12. Comply with regulatory requirements; specific recommendations cannot be made at this time.
- 13. Cannot answer at this time.
- 14. Yes.
- a. ACORN contends that the wording of Contention 5 and bases previously provided the Board demonstrate that provisions I-XVIII have not been satisfied.
t
- b. Not prepared to detail at this time,
- c. See response to Question 2.
l
- 15. Not prepared to make recommendation at this time; to be supplemented when witness is known.
- 16. Response inappropriate at this time.
- 17. All, since Intervenors are now joined on this contention.
- 13. S9e generally ACORN's prior filings regarding basis for this contention. ACORN contends the construction practi'ces do not me.et 10 CFR Part 50, App. B in at least the following particulars:
i I. Applicant has been irresponsible in its quality assurance program.
II. Applicant has not suitably controlled conditions necessary for Q.A.
III. Inappropriate measures have been approved.
IV. Contractors and subcontractcrs have not provided Q.A.
- v. Quantitative and qualitative acceptance criteria have not been met.
VI. Measures prescribing quality have not been fo!' owed at site where work is performed.
VII. Purchased material, equipment, and services has not cor. formed to procurement documents.
t VIII. Measures for identification and control of materials are not appropriate, and incorrect and defective parts have been used.
IX. Welding procedures are inappropriate.
X. Inspections have not been properly executed.
Further and amended resp 2me will be forthcoming once ACORN has had an opportunity to meet with other intervenors regarding Contention 5.
_4
- 19. See 15 abo're.
- 20. Unkn:.n at this time.
- 21. .ill depend upon the desires cf CFr?. and CASE.
- 22. Unknown.
- 23. Unknown.
- 24. Unknown at this time.
- 25. Unknown at this time. .
- 26. Questions of the nature, degree, or seriousness that create doubt as to whether CPSES should receive an operating license.
- 27. Apprcpriateness or ability to protect health and safety.
- 28. (1), (3), (6).
- 29. See responses 1-27 inclusive.
- 30. Unk.cwn at this time.
- 31. Content'on 12 is my wording.
- 32. Basis re. reins the same as at the time of admission of this contention: ACOPl; is aware of Research and Technical Assistance Reports on this topic, but they have not been reviewed as of this time.
- 33. No.
- 34. None.
- 35. No records are kept regarding meetings or contracts and nona can be recalled.
- 36. Yas; probably both cross-examination and presentation of direct testimony.
- 37. Yes, if we can find a sponsor. Sponsor unknown at this point.
- 35. Unknown at this point.
- 39. Unknown.
- 40. Yes. a., b., & c. unknown at this time; will supplement response when it's known whether we can retain an expert.
- 41. Those of greatest concern are ones which would affect safe shutdown. l
- 42. Yes.
- 43. See response to 32.
- 44. Not sufficient and/or able.
- 45. Common sense and plain meaning of the words.
- 46. Keep as low as possible.
- 47. Unknown at this time.
- 48. Unknown at this time.
- 49. Unknown at t.his time.
- 50. Does not apply.
- 51. Disabling of systems, components and structures important to safety.
52 - 70. Responses are unknown or otherwise inappropriate at this time; answer to be supplemented.
- 71. These are my words.
- 72. Basis remains the same as the time of admission of this contention.
- 73. No.
- 74. Scne.
t 75. No records are kept of meetings and none are recalled. .
- 76. Yes, cross-examination and, hopefully, presentation l of a direct case.
- 77. It is our fondest hope, but sponsor is presently unknown.
! 78. Unknown at this time.
- 79. Unknown.
- 80. Yes. a., b., & c. unknown at this time; will supplement response when it's known whether we can retain an expert.
81 - 100. Responses are unknown or otherwise inappropriate at this time; answer to be supplemented.
101. Those are my words.
102. Basis has been previously provided.
103. Not at this time.
ACORN har. had no meetings or contact with the other 1
104.
j intervening parties with respect to Contention 20.
105. See Answer to #104 above.
106. Yes; cross-examination.
107. Not known at this time.
108. :;ot known at this time.
109. Not known at this time. .
110. Yes. a., b., & c. specific objections cannot be presented at this time. Answer will be supplemented when specific objections are developed.
111. Cannot provide specific response at this time. Answer will be supplemented.
I l
112. Cannot detail specific conditions at this time. Answer l
will be supplemented.
i 1:0:( 113. Response would be premature at this time. Response will 0:0 be supplemented when developed.
dir 114. No different from that which was developed in previous l
s ou pleadings filed in this case. We have not had the town opportunity to identify or consult with an appropriate
-:Wn- expert with respect to Interrogatories 111 through 113.
- a 115. See answer to 113 above.
- ns 116. See answer to 113 above.
i Re 117. See answer to 113 above.
this 118. We have not had the opportunity to identify or consult with
'3e 2 an appropriate expert with respect to Interrogatories
'is 1 115 through 117.
- at. 119. Cannot p ovide specific response at this time. Answer C RN will be supplemented.
- 3rV 120. Response would be premature at this time. Response will i
- AT be supplemented when developed.
5; ' See answer 120 above.
121.
l :: kt 122. See answer 120 above.
- k 123. See anssrur 120 above.
Ot h 124. No different from that which was developed in previous 13- pleadings filed in this case. ACORN has not had tho
- il opportunity to identify or consult with an appropriate
- '" expert with respect to Contentiens 119 through 123.
, .. a n I
c.11
\
- - . . , . . , , ___. m.- ,__..m., , _ _ - . _ . _ _ . . _ . . _ . , , _ _ ., m . _ . _ _,_. _ ._
O 125. ACORN's contention specifically provides that the CPSES design does not adequately insure that safety-related water supplies will be available for plant operation in the event of ice buildup at the service water intake
, structere. However, ACORN would also note that Applicants' FSAR fails to adequately detail Applicants' response in a
the event of ice buildup at the service water, intake structure.
] 126. Cannet provide a particular sequence of events at this time. Response will be supple. Tented when developed.
, 127. ACORN has not had the opportunity to identify or consult with an appropriate expert with respect to Interrogatory 126.
123. That is a possibility.
129. Historic weather conditions.
130. Unknown _t this time.
i 131. Unknown at this time.
132. Unknown.
133. Specific measures have not been identified at this time.
ACORN's response will be supplemented when developed.
134 - 141. ACORN has not had the opportunity to identify or consult with an appropriate expert with respect to this contention. Response would be premature or is otherwise l unknown at this time.
142 - 188. In light of the Board's order designating CASE as Lead Party-Intervenor en this contention, ACORN wishes to defer answers until it has had an opportunity to consult
_9
1 I
1
- with CASE. Answers will be supplemented.
. 139. "As low as is reasonably achieveable" is a term of art i
! in the regulatory process which ACORN believes would be t
- inappropriate and impossible to redefine "in our own words."
i 190. ACORN is not prepared to add any basis beyond that which was l
supplied prior to admission of the contention.
i 19 1. No.
l 192. No.
193. There have been none.
l 194. There have been not.e.
l l 195. Yes, but the extent beyond cross-examination is unknown i
at this time.
I 196 - 198. Unknown at this time.
1 1
199. Yes. Parts a,b,c&d - Unknown at this time. To be supplemented when ACORN has an expert available for consultation.
l I
200. Yes. Parts a,b&c - Same as response to 199.
l 201. No.
i 202. ::ot applicable.
203 - 213. Unknown at this time or prejudicially premature. To i be supplemented when ACORN knows whether it can retain an 1
L expert for consultation or testimony.
T l 214. Applicants have not fully considered the total costs of 3
- j. safely decommissioning CPSES and protecting the general public during.that' process within the cost / benefit analysis required-bf statute and regulations and, therefore, a positive i ccst/ benefit balance cannot be sh:wn.
i i -
l e
215. The basis remains the same as of the time of the admission of this contention.
216. No.
217. No.
218. No.
219. No.
220. Yes.
221 - 224. Not known at this time. .
225. Specifically with respect to contention 24a, both the quantitative and qualitative environmental and economic costs to safely decommission CPSES.
226, 10 Cra section 51.20(b).
227. Environmental, Economic, Technical and Social 223. 10 CTR Section 51.20 (b).
229. Yes , with respect to 24a.
230. The curren methodology employed does not adequately consider the costs mentioned in response to questions 225 and 227.
231 - 238. In light of the Board's order designating CASE as lead party - intervenor on this contention, responses will be deferred until ACORN has had an opportunity to consult with CASE.
239. No.
240. Does not apply at this time.
241 - 258. See response under question 231. Answer will be supple-mented.
Respectfully submitted, OATED, Januar 3,
, 1961- [,h //,, g.C/
(Geofyvey /.. Gay c7f West Texas Legal Services Lawyers Bldg., 100 Main St.-
Fort Worth, Texas 76102
. ( 317) 336-3943 Attorney for ACORN
CERTIFICATE I, Geoffrey M. Gay, Attorney for ACORN, am authorized by them to certify, and I do now declare and certifv, that the foregoing responses in the document "ACOPJ's Answers to Applicants' First Set of Interrogatories" are true and correct to the best of my knowledge and belief.
Executed, this 5th day of January, 1981, s ,
N } '
< .k *{ - # / &
il l .
Geoffrey M. Gay o
P i
l l
l 12 t.
( .
CERTIFICATE OF SERVICE I hereby certify that copies of the foregoing " ACORN's ANSWERS
, TO APPLICASTS'FIRST SET OF INTERROGATORIES" in the captioned i
matter were served upon the following persons by deposit in the United States mail, first class postage prepaid this 5th day of January, 1981:
Valentine B. Deale, Esq. Richard Fouke
! Chairman, Atomic Safety and 1668-B Carter Dr.
Licensing Board Arlington, Texas 76010 t 1001 Connecticut Avenue, N.W.
Washington, D.C. 20036 Chairman, Atomic Safety and Licensing Board Panel Dr. Forrest J. Remick, Member U.S. Nuclear Regulatory Comm.
Atomic Safety and Licensing Board Washington, D.C. 20555 305 E. Hamilton Avenue State College, PA. 16801 Chase R. Stephens Docketing & Service Branch Dr. Richard Cole, Member U.S. Nuclear Regulatory Cc=m.
Atomic Safety and Licensing Board Washington, D.C. 20555 U.S. Nuclear Regulatory Commission i
Washington, D.C. 20555 Juanita Ellis, President CASE Nicholas S. Reynolds 1426 South Polk Street Debevoise & Liberman Dallas, Texas 75224 1200 Seventeenth St., N.W.
Washington, D.C. Chairman, Atomic Safety and' Licensing Appeal Panel David J. Preister U.S. Nuclear Regulatory Comm.
l Assistant Attorney General Washington, D.C. 20555 Environmental Protection Division P.O. Ecx 12548, Capitol Station Jeffery L. Hart l
! Austin, Texas 78711 4021 Prescott Avenue 75219 Dallas, Texas Marjorie Ulman Rothchild Office of Executive Legal Director U.S. Nuclear Regulatory Commission Washington, D.C. 20555
.i i (
. . S c.a.,. ~)4 ! O fu.u GeoffEey k. Gay 'I I
l West Texas Legal Services Lawyers Bldg., 100 Main Pt. Ucrth, Texas -76102 l
! (817) 336-3943 l
Texas Bar # 07774300
__