Similar Documents at Fermi |
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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARNRC-99-0093, Comment on Prs 10CFR30,31,32,170 & 171 Re Requirements for Certain Generally Licensed Industrial Devices Containing Byproduct Matl. Licensee Unclear Whether Requirements Apply to Holder of Operating License1999-10-12012 October 1999 Comment on Prs 10CFR30,31,32,170 & 171 Re Requirements for Certain Generally Licensed Industrial Devices Containing Byproduct Matl. Licensee Unclear Whether Requirements Apply to Holder of Operating License NRC-99-0080, Comment Opposing Proposed Rule 10CFR50 Re Consideration of Potassium Iodide in Emergency Plans.Detroit Edison Strongly Urges NRC to Not Issue Amend to 10CFR50.471999-09-13013 September 1999 Comment Opposing Proposed Rule 10CFR50 Re Consideration of Potassium Iodide in Emergency Plans.Detroit Edison Strongly Urges NRC to Not Issue Amend to 10CFR50.47 NRC-99-0071, Comment Supporting Draft RG DG-1083, Content of Ufsar,Iaw 10CFR50.71(e), Dtd Dec 19981999-04-30030 April 1999 Comment Supporting Draft RG DG-1083, Content of Ufsar,Iaw 10CFR50.71(e), Dtd Dec 1998 ML20205A7871999-03-26026 March 1999 Error in LBP-99-16.* Informs That Footnote 2 on Pp 16 of LBP-99-16 Should Be Deleted.With Certificate of Svc.Served on 990329 ML20205A8321999-03-26026 March 1999 Initial Decision (License Granted to Sp O'Hern).* Orders That O'Hern Be Given Passing Grade for Written Portion of Reactor Operator License Exam Administered on 980406.With Certificate of Svc.Served on 990326.Re-serve on 990330 ML20202B1561999-01-28028 January 1999 Memorandum & Order (Required Filing for Sp O'Hern).* Petitioner Should Document,With Citations to Record, Precisely Where He Disagrees or Agrees with Staff by 990219. with Certificate of Svc.Served on 990128 NRC-98-0154, Comment Supporting Proposed Rules 10CFR50,52 & 72 Re Changes,Tests & Experiments.Detroit Edison Fully Supports Comments Being Submitted on Proposed Rule by NEI1998-12-21021 December 1998 Comment Supporting Proposed Rules 10CFR50,52 & 72 Re Changes,Tests & Experiments.Detroit Edison Fully Supports Comments Being Submitted on Proposed Rule by NEI ML20198B1131998-12-17017 December 1998 Memorandum & Order (Request for an Extension of Time).* Orders That Staff May Have Until 990115 to File Written Presentation.With Certificate of Svc.Served on 981217 NRC-98-0184, Comment on Proposed Rule 10CFR50.65, Monitoring Effectiveness of Maint at Npps. Expresses Concern That Proposed Rule,As Drafted,Will Impose Significant Regulatory Burden on NPPs Which Have Already Developed Risk Programs1998-12-14014 December 1998 Comment on Proposed Rule 10CFR50.65, Monitoring Effectiveness of Maint at Npps. Expresses Concern That Proposed Rule,As Drafted,Will Impose Significant Regulatory Burden on NPPs Which Have Already Developed Risk Programs ML20197J8971998-12-14014 December 1998 NRC Staff Request for Extension of Time to File Response to Sp O'Hern Written Presentation.* Staff Requests That Motion for Extension of Time Until 990115 to File Written Presentation Be Granted.With Certificate of Svc ML20154M8281998-10-20020 October 1998 Federal Register Notice of Hearing.* Grants Sp O'Hern 980922 Request for Hearing Re Denial of O'Hern Application to Operate Nuclear Reactor.With Certificate of Svc.Served on 981020 ML20154M9471998-10-19019 October 1998 Memorandum & Order (Establishing Schedule for Case).* Grants Request for Hearing Filed on 980922 by O'Hern & Orders O'Hern to Specify Exam Questions to Be Discussed at Hearing by 981103.With Certificate of Svc.Served on 981019 ML20154K8601998-10-14014 October 1998 NRC Staff Response to Request for Hearing Filed by Applicant Sp O'Hern.* Request Re Denial of Application for Senior Operator License Filed in Timely Manner.Staff Does Not Object to Granting Request.With Certificate of Svc ML20154F0551998-10-0808 October 1998 Designation of Presiding Officer.* Pb Bloch Designated as Presiding Officer & Rf Cole Designated to Assist Presiding Officer in Hearing Re Denial of Sp O'Hern RO License.With Certificate of Svc.Served on 981008 NRC-98-0035, Comment on Draft RG DG-5008 (Rev 2 to Reg Guide 5.62), Reporting of Safeguards Events. Util Endorses Industry Comments Submitted by NEI1998-03-0909 March 1998 Comment on Draft RG DG-5008 (Rev 2 to Reg Guide 5.62), Reporting of Safeguards Events. Util Endorses Industry Comments Submitted by NEI NRC-98-0010, Comment Supporting Draft RG DG-1070, Sampling Plans Used for Dedicating Simple Metallic Commercial Grade Items for Use in NPP1998-02-17017 February 1998 Comment Supporting Draft RG DG-1070, Sampling Plans Used for Dedicating Simple Metallic Commercial Grade Items for Use in NPP NRC-98-0030, Comment Opposing PRM 50-63A by P Crane Re Prophylactic Use of Potassium Iodide for General Public1998-01-16016 January 1998 Comment Opposing PRM 50-63A by P Crane Re Prophylactic Use of Potassium Iodide for General Public NRC-98-0012, Comment Opposing Proposed Rule 10CFR50 & 70 Re Exemption from Criticality Accident Requirements. Detroit Edison Concerned That Proposed Changes Will Not Provide Sufficient Flexibility Meeting Regulations to Criticality Monitoring1998-01-0202 January 1998 Comment Opposing Proposed Rule 10CFR50 & 70 Re Exemption from Criticality Accident Requirements. Detroit Edison Concerned That Proposed Changes Will Not Provide Sufficient Flexibility Meeting Regulations to Criticality Monitoring NRC-97-0096, Comment on Draft Reg Guides DG-1061,1062,1064 & 1065,draft SRP Chapter 19 Rev L ,chapter 3.9.7 Rev 2C ,chapter 16.1 Rev 13 & Draft NUREG-1602 Dtd June 19971997-09-29029 September 1997 Comment on Draft Reg Guides DG-1061,1062,1064 & 1065,draft SRP Chapter 19 Rev L ,chapter 3.9.7 Rev 2C ,chapter 16.1 Rev 13 & Draft NUREG-1602 Dtd June 1997 NRC-97-0078, Comment on Draft Reg Guides DG-1061,1062,1064 & 1065,draft SRP Chapter 19 Rev L ,chapter 3.9.7 Rev 2C ,chapter 16.1 Rev 13 & Draft NUREG-1602 Dtd June 19971997-08-0606 August 1997 Comment on Draft Reg Guides DG-1061,1062,1064 & 1065,draft SRP Chapter 19 Rev L ,chapter 3.9.7 Rev 2C ,chapter 16.1 Rev 13 & Draft NUREG-1602 Dtd June 1997 ML20112G8451996-06-11011 June 1996 Comment Opposing Proposed Rule 10CFR50, Reporting Reliability & Availability Info for Risk-Significant Sys & Equipment NRC-96-0024, Comment on Proposed Rule 10CFR20 Re Reporting Requirements for Unauthorized Use of Radioactive Matl.Util Supports Need for NRC to Be Promptly Informed of Incidents Involving Intentional Misuse of Licensed Matl1996-02-28028 February 1996 Comment on Proposed Rule 10CFR20 Re Reporting Requirements for Unauthorized Use of Radioactive Matl.Util Supports Need for NRC to Be Promptly Informed of Incidents Involving Intentional Misuse of Licensed Matl NRC-96-0010, Comment Opposing Petition for Rulemaking PRM-50-63 Re Use of Potassium Iodide1996-02-12012 February 1996 Comment Opposing Petition for Rulemaking PRM-50-63 Re Use of Potassium Iodide NRC-95-0131, Comment on Petition for Rulemaking PRM-50-62 Re Changes to QA Program.Agrees That Changes Needed in Process for QA Program Revs1995-11-28028 November 1995 Comment on Petition for Rulemaking PRM-50-62 Re Changes to QA Program.Agrees That Changes Needed in Process for QA Program Revs NRC-95-0107, Comment Supporting Proposed Rules 10CFR2,50 & 51 Re Decommissioning of Nuclear Power Reactors1995-10-12012 October 1995 Comment Supporting Proposed Rules 10CFR2,50 & 51 Re Decommissioning of Nuclear Power Reactors NRC-95-0103, Comment on Draft Reg Guide & NRC Bulletin, Potential Plugging of ECCS Strainers for Debris in Bwr. Supports Points That Bulletin Should Include Option of Justifying Operability of Currently Installed Passive Strainers1995-10-0202 October 1995 Comment on Draft Reg Guide & NRC Bulletin, Potential Plugging of ECCS Strainers for Debris in Bwr. Supports Points That Bulletin Should Include Option of Justifying Operability of Currently Installed Passive Strainers TXX-9522, Comment Opposing Proposed GL on Testing of safety-related Logic Circuits.Believes That Complete Technical Review of All Surveillance Procedures Would Be Expensive & Unnecessary Expenditure of Licensee Resources1995-08-26026 August 1995 Comment Opposing Proposed GL on Testing of safety-related Logic Circuits.Believes That Complete Technical Review of All Surveillance Procedures Would Be Expensive & Unnecessary Expenditure of Licensee Resources NRC-95-0080, Comment on Proposed Generic Communication Re Testing of safety-related Logic Circuits1995-07-21021 July 1995 Comment on Proposed Generic Communication Re Testing of safety-related Logic Circuits NRC-95-0078, Comment Supporting Proposed Generic Communication Re Process for Changes to Security Plans W/O Prior NRC Approval1995-07-14014 July 1995 Comment Supporting Proposed Generic Communication Re Process for Changes to Security Plans W/O Prior NRC Approval NRC-95-0079, Comment Supporting Pr 10CFR50 Re Changes in Frequency Requirements for Emergency Planning & Preparedness Exercises from Annual to Biennial1995-07-13013 July 1995 Comment Supporting Pr 10CFR50 Re Changes in Frequency Requirements for Emergency Planning & Preparedness Exercises from Annual to Biennial NRC-95-0073, Comment Supporting Proposed Rule 10CFR70 Re Change to NPP Security Requirements Associated W/Containment Access Control1995-06-0909 June 1995 Comment Supporting Proposed Rule 10CFR70 Re Change to NPP Security Requirements Associated W/Containment Access Control NRC-95-0056, Comment Supporting Proposed Rule 10CFR50 Re Primary Reactor Containment Leakage Testing1995-05-0808 May 1995 Comment Supporting Proposed Rule 10CFR50 Re Primary Reactor Containment Leakage Testing NRC-95-0042, Comment Supporting Draft Policy Statement Re Freedom of Employees in Nuclear Industry to Raise Safety Concerns W/O Fear of Retaliation1995-04-10010 April 1995 Comment Supporting Draft Policy Statement Re Freedom of Employees in Nuclear Industry to Raise Safety Concerns W/O Fear of Retaliation NRC-95-0047, Comment on GL, Pressure Locking & Thermal Binding of Safety Related Power-Operated Gate Valves. Draft GL Should Be Revised to Permit Some Use of Plant Operating Experience as Basis for Engineering Judgement1995-03-27027 March 1995 Comment on GL, Pressure Locking & Thermal Binding of Safety Related Power-Operated Gate Valves. Draft GL Should Be Revised to Permit Some Use of Plant Operating Experience as Basis for Engineering Judgement NRC-95-0007, Comment Supporting Proposed Rule Re Proposed Policy Statement on Use of Probabilistic Risk Assessment Methods in Nuclear Regulatory Activities1995-02-0707 February 1995 Comment Supporting Proposed Rule Re Proposed Policy Statement on Use of Probabilistic Risk Assessment Methods in Nuclear Regulatory Activities NRC-94-0145, Comment Supporting Proposed Rule 10CFR50 Re Shutdown & Low Power Operations for Np Reactors.All Util Outages Currently Controlled by Defense in Depth Philosophy Implemented by Operations & Work Control Group1995-01-11011 January 1995 Comment Supporting Proposed Rule 10CFR50 Re Shutdown & Low Power Operations for Np Reactors.All Util Outages Currently Controlled by Defense in Depth Philosophy Implemented by Operations & Work Control Group NRC-95-0001, Comment Supporting Proposed Rule 10CFR21 Re Procurement of Commercial Grade Items by NPP Licensees1995-01-0909 January 1995 Comment Supporting Proposed Rule 10CFR21 Re Procurement of Commercial Grade Items by NPP Licensees NRC-94-0130, Comment Supporting Proposed Rule 10CFR2,51 & 54 Re NPP License Renewal1994-12-0909 December 1994 Comment Supporting Proposed Rule 10CFR2,51 & 54 Re NPP License Renewal NRC-94-0128, Comment Supporting & Opposing Sections of Proposed GL Re Reconsideration of NPP Security Requirements for an Internal Threat,1994-12-0707 December 1994 Comment Supporting & Opposing Sections of Proposed GL Re Reconsideration of NPP Security Requirements for an Internal Threat, NRC-94-0106, Comment Supporting NUMARC Responses Re Reexamination of NRC Enforcement Policy1994-11-30030 November 1994 Comment Supporting NUMARC Responses Re Reexamination of NRC Enforcement Policy NRC-94-0100, Comment on Pilot Program for NRC Recognition of Good Performance by Nuclear Power Plants.Endorses NEI Response to Ref 2 Submitted to NRC on 9410031994-10-13013 October 1994 Comment on Pilot Program for NRC Recognition of Good Performance by Nuclear Power Plants.Endorses NEI Response to Ref 2 Submitted to NRC on 941003 NRC-94-0074, Comment on Proposed Rule 10CFR26 Re Consideration of Changes to fitness-for-duty Requirements.Recommends That Random Testing Scope Remain Same1994-08-0909 August 1994 Comment on Proposed Rule 10CFR26 Re Consideration of Changes to fitness-for-duty Requirements.Recommends That Random Testing Scope Remain Same NRC-94-0070, Comment Supporting Petition for Rulemaking PRM-50-59 Re Changes to Security Program & Safeguards Contingency Plan Independent Reviews & Audit Frequency.Util Believes Further Rule Changes Should Be Made1994-07-19019 July 1994 Comment Supporting Petition for Rulemaking PRM-50-59 Re Changes to Security Program & Safeguards Contingency Plan Independent Reviews & Audit Frequency.Util Believes Further Rule Changes Should Be Made ML20070P1161994-04-18018 April 1994 Comments on DE LLRW Onsite & Radwaste Disposal NRC-93-0149, Comment Supporting Proposed Rule 10CFR73 Re Protection Against Malevolent Use of Vehicles at NPP1993-12-17017 December 1993 Comment Supporting Proposed Rule 10CFR73 Re Protection Against Malevolent Use of Vehicles at NPP NRC-93-0145, Comment on NUMARC Petition for Rulemaking PRM 21-2, Commercial Grade Item Dedication Facilitation. Concurs W/ Petition1993-12-15015 December 1993 Comment on NUMARC Petition for Rulemaking PRM 21-2, Commercial Grade Item Dedication Facilitation. Concurs W/ Petition NRC-93-0144, Comment on Draft NUREG/BR-0058,Rev 2, Regulatory Analysis Guidelines of Us Nrc. Concurs W/Comments Submitted by NUMARC1993-12-0606 December 1993 Comment on Draft NUREG/BR-0058,Rev 2, Regulatory Analysis Guidelines of Us Nrc. Concurs W/Comments Submitted by NUMARC ML20059L3211993-11-24024 November 1993 Exemption from Requirements of 10CFR50.120 Re Establishment, Implementation & Maintenance of Training Program NRC-93-0068, Comment Supporting Petition for Rulemaking PRM-50-58 Re VEPCO Petition to Change Frequency of Emergency Planning Exercises from Annual to Biennial1993-05-0505 May 1993 Comment Supporting Petition for Rulemaking PRM-50-58 Re VEPCO Petition to Change Frequency of Emergency Planning Exercises from Annual to Biennial DD-92-08, Director'S Decision DD-92-08 Re Enforcement Actions to Be Taken Against Util Due to Allegations Presented by Gap. Petition Denied1992-11-25025 November 1992 Director'S Decision DD-92-08 Re Enforcement Actions to Be Taken Against Util Due to Allegations Presented by Gap. Petition Denied 1999-09-13
[Table view] Category:PLEADINGS
MONTHYEARML20197J8971998-12-14014 December 1998 NRC Staff Request for Extension of Time to File Response to Sp O'Hern Written Presentation.* Staff Requests That Motion for Extension of Time Until 990115 to File Written Presentation Be Granted.With Certificate of Svc ML20154K8601998-10-14014 October 1998 NRC Staff Response to Request for Hearing Filed by Applicant Sp O'Hern.* Request Re Denial of Application for Senior Operator License Filed in Timely Manner.Staff Does Not Object to Granting Request.With Certificate of Svc ML20235Y8981987-07-21021 July 1987 Licensee Response to Petition of Safe Energy Coalition of Michigan & Sisters,Servants of Immaculate Heart of Mary Congregation.* Petition Should Be Denied.Certificate of Svc Encl ML20101T3391985-01-28028 January 1985 Petition to Institute Proceeding on &/Or Investigative Actions Into Safety Matters at Facility,Per 10CFR2.206 & 2.202.Low Power/Fuel Loading License Should Not Be Issued Until Listed Safety Allegations Resolved ML20076K2271983-07-0707 July 1983 Answer Opposing Citizens for Employment & Energy 830622 Petition for Review of Aslab 830602 Decision ALAB-730, Affirming ASLB 821029 Initial Decision LBP-82-96 Re OL Issuance.Petition Should Be Denied.Certificate of Svc Encl ML20072E9561983-06-22022 June 1983 Petition for Review of ASLAP 830602 Decision Affirming ASLB 821029 Decision Authorizing Issuance of full-power Ol.Monroe County Does Not Have Radiological Emergency Response Plan & Will Not Implement Draft.Certificate of Svc Encl ML20064N8131983-02-0909 February 1983 Brief Appealing ASLB 821029 Initial Decision.Monroe County Has Not Adopted Emergency Evacuation Plan.Board Findings on Contention 8 Erroneous & Should Be Reversed.Certificate of Svc Encl ML20070H3861982-12-22022 December 1982 Response in Opposition to Citizens for Employment & Energy Response to ASLB 821122 Order to Show Cause Why Appeal from 821029 Initial Decision Should Not Be Summarily Dismissed for Failure to File Proposed Findings.W/Certificate of Svc ML20066K6521982-11-23023 November 1982 Brief Opposing Monroe County,Mi 821108 Appeal of ASLB 821029 Initial Decision Denying County 820827 late-filed Petition to Intervene.Intervention Petition Correctly Denied. Certificate of Svc Encl ML20066K9131982-11-21021 November 1982 Answer to Aslab 821112 Order to Show Cause.Filing of Proposed Findings & Remedy of Default Is Optional.Remedy Should Not Be Invoked.Complaint of Aslab Is Only Procedural ML20066K9471982-11-21021 November 1982 Answer Supporting Monroe County,Mi 821108 Motion for Extension of Time to File Appellate Pleadings.Aslab Should Advise County & Citizens for Employment & Energy of Rules Re Appeal of Intervention Petition.Certificate of Svc Encl ML20066E3051982-11-0808 November 1982 Exceptions to ASLB 821029 Initial Decision.Certificate of Svc Encl ML20065B2541982-09-10010 September 1982 Requests Extension Until 820920 to Respond to County of Monroe,Mi 820827 Petition to Intervene.Time for Answer Should Be Calculated from Date Petition Mailed to Counsel of Record.Certificate of Svc Encl ML20062M0251981-12-11011 December 1981 Response Supporting NRC 811116 Motion for Summary Disposition of Contention 5.No Genuine Issue of Matl Fact Exists ML20004F4041981-06-0202 June 1981 Requests Extension Until 840630 for Facility Completion,Due to Delays & Difficulties in Regulatory Process,Including Regulatory Review Hiatus & Impact of Responding to post-TMI Requirements ML19209A9121979-08-20020 August 1979 Answer in Opposition to Citizens for Energy & Employment 790807 Motion for Change in Discovery Schedule.Delay Will Cause Financial & Planning Difficulties for Applicants. Certificate of Svc Encl ML19208A0311979-07-19019 July 1979 Statement of Matl Facts as to Which There Is No Genuine Issue,In Support of Util 790719 Motion for Summary Disposition of Contention 11.Certificate of Svc Encl ML19208A0281979-07-19019 July 1979 Consolidated Motion to Compel Citizens for Employment & Energy to Answer 790327 Interrogatories 2-6 & for Summary Disposition of Contention 11.Contention Does Not State Genuine Issue ML19225A5151979-06-25025 June 1979 Detroit Edison Objections to Citizens for Employment & Energy Interrogatories & Requests for Production of Documents Served on 790525.Certificate of Svc Encl ML20027A5541978-12-15015 December 1978 Applicants' Answer to First Amended Intervention Petition of Citizens for Employment & Energy. Requests Cee Intervention Petition Be Denied ML20027A5191978-12-0404 December 1978 Amended Petition to Intervene in Matter of Proc Re Subj Facil.Incl Identification of Petitioner & Its Interests to Be Affected,Interests Adversely Affected by Action of Comm & Statement of Contentions ML20027A4671978-11-22022 November 1978 Applicant De'S Consolidated Answer to Intervention Petitions of M & D Drake & Cee.Asserts Petitions Should Be Denied Since Neither Satisfy 10CFR2.714 Re Interests of the Petitioners.Cert of Svc Encl ML20027A2821978-10-27027 October 1978 Citizens for Employment & Energy Response to Applicants Motion for Leave to Commence Limited Discovery Against Petitions Drake & Cee & Alternative Request for Waiver. Urges Motion Be Denied.Cert of Svc Encl ML20027A2091978-10-20020 October 1978 Motion for Leave to Commence Limited Discovery Against Drake & Cee & Alternative Request for Waiver.Discovery Necessary to Determine Whether Drake & Cee Have Necessary Interests Required for Intervention ML20027A2181978-10-20020 October 1978 Applicant Motion for Extension of Time to Respond to Drake & Cee Petitions Until 2 Wks After Date Applicant Received Last Transcript of Depositions ML20076A6351978-10-10010 October 1978 Petition to Intervene on Basis That Entire State of Mi Will Be Affected by Safety & Economic Health of Plant & Many Unresolved Safety Issues Exist ML20076A6161978-10-0909 October 1978 Petition to Intervene Re Proposed Facility.Intervention Sought on Basis of Health & Safety of Residents of Area Near Proposed Facility,Environ Concerns & Util Financial Qualifications ML20027A1921978-09-15015 September 1978 Alleges That Recent Notice of Hearing & Newspaper Ads Re Intervention in Hearings by Citizens as Individuals Defective,Based on Fact That Right of Local Govts to Participate Not Brought to Attention of Local Units ML20027A2151978-02-0101 February 1978 Amended Petition to Stop Northern Michigan Electric,Inc Sale of Part Interest in Facility 1998-12-14
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l UNITED STATES UUCLEAR COMrldd10N SEfonE Tiit 4T0i:10 d,dETY aND LICENSING OAna
(
In the Matter of.
THs DEIROIT ADIS0H CUMPAIiY Docket 50-341 Amendment to Enrico Fermi II Construction Permit CPPit-87 Amended Petition of Nartha G. Drake My nace is Martha G. Drake, 230 Fa'irview, Petoskey, Mich. I am a member of Top O' Michigan, a retail rural electric cooperative, which with two other retail cooperatives, owns Northern Michigan Electric, Inc.; a whclesnle rurel electric cooperative that is bu'*ing a part interect in the Enrico Fermi 11 plant.- 'I am petitioning to stop this sals. .
- mendin.; 'he license of Detroit Edisen to include NME and b Wolverine Electric, Inc., brings up issues that are new and are
, different that those addressed in previous licensing situations that considered onl'y the original iicense for nuclear pl' ants. In view of the fact that.the privately owne'd utilities cannot finance their -
billion dellar nuclear plants and are seeking public monies voted by t
Congress for rural development to the extent of 35 billion makes these questions ~ timely and it is imperitive.that they,be answered. .
- 1. Can ownership or part ownership of a nuclear plant be -
transferred to an entity that hasn't been licensed to construct or own a nuclear plant?
- 2. Doec a member of a cooperative have standing to intervene when this cooperative buys into a nuclear plant? Is a cooneg Lve member's interest differ 4nt than that of a ratepayers?
3 Can public funds of a cooperative be invested in e privately
, -cwnec utility?
- 4. Con an agency of the U.S. government guarantee a loan being invested in a private corporation?
Wl027 0 973 _ _ _ _ _ _ _ _ . _ _ _ _ _ _ _ _ _ _ _ _ l
50-341 5 Is it necessary to issue a new end timely Envi onnental Impact Utatement with a change of ownership with such a sale when factors cuch As imps,ct on local governments, -
health facilities, jobs, as a reruit of loss of taxes are considered?
- 6. Can funds voted by Congress for rural development '
- legally be in rested in c plant located in and serving the industrial heart of the state?
- 7. Does an auendment to a license to includa two new owners constitute a ' transfer',' sale', or 'ac' ques'd tion'?
E. . Is the Environmental Impact of a sale different that the .
Environmental Impact of the plant itself?
Petitioner is esking for standing in thi= case. In Feb'ble Sprin58
.Fprtland General Electric Co. et al v. I'roject Survival, CLI-76-27, p.613) it was ruled that ratepayers do,not have the,right to standing simply because. they are ratepayers. However, the distinction between a ratepayer and a cooperative member with equity in the cooperative is verv real. NMI exists only for cooperative members. It is fully owned by tlie ,three retail cooperatives. There is no other. equity in -
it. The members are the coop,erative. -
The r16 ht to standing, if based.on judical precedent, requires
' injury in fact' in ' zone of interest to be discussed.
e 19, 1978 Vnile petitioner ag5 v. (ss withag7 entg+g Judge A) Fox in his Jan.
decision in G77-364 CA, that the NRC rules' clearly state that Reg. .
50-91 10CIR " expressly states that in determining whether an amendment to a license will be issued the NRC muct be guided by the same considerations that govern the issuance of initial license" whtch ~
would include many issues, the zone of interest here appeared to have been narrowed to ' health and safety f and ' financial ability of coops' .
Petitioner ar5ues that all issues covered in original Jicensing Warinc together with waste disposal, reed for plant, wheth er
50-341 cc.nservntion has been - tried, etc., shotild be considered.
!!owev :r, in the two ' tones of interest' the pre-hearing was concerned with, petitioner contends that her family may be injured in fr.ct because:
- 1) Dr. William Taylor, testifying on nuclear wastes being.
1 .
stored in Nor thern Michigan, said.that .if this area (Northern Lower .
Michigan) enjoyed the benefits of . nuclear power,they sh'ould be willing to have the wastes stored there.
Northern Lower Michigan, the area served by NME, is the prime area under consideration for storage of nuclear wastes. Several counties voted about 10-1 against it. If we buy into this plant, we are more-
~
. apt to have the wastes stored in our area and may be exposed to ,
radiation as wastes are transported to the area and buried in it.
The 1977 Government Accounting Office study, Nuclear Enerev's
, Dilemma: Disuosinrr of Hazardous Radioactive Waste Safelv, . shows that the government has promi, sed more than they can deliver and does not
~
know how to dispose of wastes safely.
- 2) Daniel H. Drake, petitioner's son, has been edmitted to the University of Michigan Medical School for the fall of 1978. He will be living in Ann Arbor when the plant is scheduled to open. Ann Arbor is about 30 miles from Fermi II. He has some asthma and has been subjected to considerrble radiation from medical X. Rays and it could ,
be injurioun to his health to be exposed to more radiation. Dr.
Alice Stewart, the eminent 3ritish epidemiologist, in Friends of we E5rth, Jan. , 1978, say: 5 low-level radiation e ancer risk 'may be up to 20 times greater than currently accepted estimations.' If the (ERDA-Mancusso) study is valid, 'then clearly there is a serious
( health hazard for workers in the atenic industry and probably for the general public as well."
. =.. .- .
4 Drako
.- 50-341 i .
4
- 3) 3y buying into Fermi II on the Michi an E Fower Pool, the demand Big Rock nuclear plant is less than lo
~
on Big Rock is stimuisted.
miles from petitioners home. It emits 175,000 curies of radia. tion -
e..cyc.he owuaO -
a year. Buildin53 wood or coal plants in this area would not stimulate 1
demand on the pool .and therefore on Big Rock.- ,
In the opinion of Judge Fox in G77-36.4 supra p. 8,' attached, a -
case with the sase parties, "There'is no doubt tha't. plaintiffs here are within the class for whose especial benutit the statue w.ss enacted."
! He quotes from Crowther v. Seaborg, 312 F. Supp 1205,1216- (D. Colo.1970),
, 'it was the intent of Congress in passing the ( Atomic Energy) Act to pro'tect the. health of the class of which plaint'iffs are members, then whe n they allege disregard of. that interest, tLey ore perrons alleg.edly aggrieved or adversely affected wi. thin the meaning of the statue and have standin6 to sue.'
Judge Fox argues, p.9, supra, that plaintiffs have demonstrated .
injury in fact 'by alleging that as members of the purchasing cooperatives tlteir utility rates will increase owing to the interest payable by-
'he cooperatives on the loans they received to cover the cost of the purchase of 20% of Fermi II. .
This is ' injury in. fact' in the zone of interest of finanical ability of cooperatives to 'nter e into'this' sale. .
There is the. serious consideration that the cooperative may go bankrupt beceuse there is no provision for_th'em to recover their money if DE is not able to complete the financin5 of the plant.
Mr. Groves, Vi ce President of DE on the stand before the MFSC said that in the event the DE couldn't finance the rest of ' the plant, and it has been stalled since 1974 for lack of funds, the cooperatives could borrow more money and own a greater share. This is no solution
, e c, 50-341 as it would only hurden t:ie coops with a larger share of a ' lemon ' .
, There is no provision for them to get their money back in such a t
ense and it is hard to see how NME with a Kvoss income of only 312 plus million in 1975 can take on the interest on a debt of 3129 million (310 million a year) let alone the interest on a larger ,
amount. -
no accounting has been made to the cooperative member as to.
what this s_le will Co to their rates, which are already a high 6c a kwh. Already one .of their inrgest users (Boyne Country) is threate'ninf to build their own wind generating system. This sale could well
\ bankrupt the cooperative with just the interect payments and disrupt '
~
our supply of electricity. ,-
The NME area will certainly ba harmed by the loss of some. 34 million e year in property taxes, 500 construction jobs, and 100 operating J
r jobs that would have accrued to the NME area if. plan +.s. were built there instead,.
Petitioner contends that it is not the environmental effect of the plant but the environmental effect of the sale of the niant that
~
l we are considering and its impact with a new EIS is essential.
Should the above contentions not qualify j in the Boards opinion, -
this petEtioner for standing by right, the Pebble Springs decision states that discretionary standing my be granted. Six conditions govern this standing. -
) Fetitioner can assist in developing a sound record ,because she 1
has been involved the this cale for over a year anc has made presentations to the 3nards of Directors and has intervened before the Michigan Public Service Commission and before Judge
?cx' Co2rt.
,r -
\
____ ... . .. ~~ .--
~ ~ - - -
' In U.5132, litchigan Public Service Commission, Jud5e Sheridan
' in his ' Proposal f ar D( cision" said that "Mr. Drake. . . . raises quections'.. . .that are valid and necesscry cenciderstions that the Commiscion must face bcfore determining that this project is in the public interest." .
Petitioner boards is aarea.
in her coo perative member a,d has served on public .
She is an accountant and has recently .
receiv.:d an advanced degree that' included utility economics.
She has access to Innds to bring in witnesses and has contacted public service commissioners from nearby sta'tes and other-experts.
- 2) Plaintiff owns three pieces of property in the area but her interest lies with the well being of the area as a whole and of. the cooperative members who were not given a vote on this ,
purchase.
3)An order affecting this sole may affect the plaintiffs' source' of electricity and the health and ' safety of the area in which
( she lives.
~
- 4) Petitioner'knows of no other place where her interes+s will be protected. DE maint41ned in G77-364A that hearings before the 20 were the prop 2r place to bring our objections to the sale.
- here is no E.I.S. in Public Service Commission- hearings.
- 5) Petitioner will be represented.by CEE but she would like to h=.ve standing because she lives in the cooperative area, has been in U-bl82 and U-5408 and G77-364 whic'h CEE was not,. and '
~ can enter some deta from these caseo. Also she lives 250. miles i
fron th; man reprerenting CEE which makes communications difficult. -
- 6) Petitioners iparticipation will not prolong proceedings unduly because the legality ef this sale is being protested in the courts
' clouded'.
and until that is settled, the sale will be legally.
t Therefore, petitioner asks for standing to object to the sale
- and to contributf to a sound record on the new~ questions that the participation of the REA cooperatives in a priv. ate utility' raises.
Because Ilichigan has been immobilized since Jan. 26 and I wac marroened 200 mile ' from ny home and' papers and the mails ~ have not brought the documents I need, I ask permission to add to this within 5 days if material I have sent for arrives and would add weight to my petition.
Respectfully, /
Feb. 1, 1973 Is_/ -
kL riartha G. Drake ,
_. -. -- - -