|
---|
Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARDCL-99-123, Comment on Prs 10CFR50 & 72 Re Reporting Requirements for Nuclear Power Reactors & Draft NUREG-1022, Event Reporting Guidelines. Util Areas of Concern Includes ESF Actuations, Significantly Degraded Components & Historical Limitations1999-09-20020 September 1999 Comment on Prs 10CFR50 & 72 Re Reporting Requirements for Nuclear Power Reactors & Draft NUREG-1022, Event Reporting Guidelines. Util Areas of Concern Includes ESF Actuations, Significantly Degraded Components & Historical Limitations ML20205N4081999-04-14014 April 1999 Comments Opposing Proposed Rules 10CFR2,19 & 20 Re Proposed Repository at Yucca Mountain.Requests Information on How Much Radiation Being Released Now at Diablo & Hanford NPPs ML20205N4601999-03-21021 March 1999 Introduces K Schumann as Representative of Nuclear Waste Committee (Nuwic) of San Lius Obispo County.Informs That Nuwic & Nuclear Waste Management Committee Concerned with Transportation of Spent Nuclear Fuel Rods from Dcnpp ML20195E8841998-11-24024 November 1998 Petition for Mod to OLs to Require Plant Owner to Have Independent Contractor Evaluate Plant Safety Culture ML20236T3011998-07-24024 July 1998 Order Prohibiting Involvement in NRC Licensed Avtivities (Effective Immediately).Lh Brooks Prohibited for 5 Yrs from Date of Order from Engaging in NRC Licensed Activities ML20248C2261998-05-22022 May 1998 Comment Opposing Revised Proposed Rule 10CFR50 Re Protection & Safety Sys ML20129J4191996-10-18018 October 1996 Order Approving Application Re Corporate Restructuring of Pacific Gas & Electric Company by Establishment of Holding Company DCL-95-206, Comment Supporting Petition for Rulemaking PRM-50-61 Re Improving Fire Protection Regulations1995-10-0606 October 1995 Comment Supporting Petition for Rulemaking PRM-50-61 Re Improving Fire Protection Regulations ML20091P8721995-08-23023 August 1995 Comment Opposing Petition for Rulemaking PRM-50-61 Re Nuclear Energy Institute Proposed Amends on Fire Safety for All NPPs DCL-95-001, Comment on Proposed Changes to Reactor Pressure Vessel Integrity Rule 10CFR50.Endorses NEI Comments1995-01-0303 January 1995 Comment on Proposed Changes to Reactor Pressure Vessel Integrity Rule 10CFR50.Endorses NEI Comments ML20077M7521994-12-30030 December 1994 Comment Opposing Proposed Rule 10CFR50 Re Shutdown & Low Power Operation for Nuclear Power Reactors DCL-94-270, Comment on Proposed Rules 10CFR2,51 & 54 Re Rulemaking for NPP License Renewal.Endorses Comments & Changes Proposed by NEI 941208 Submittal1994-12-0808 December 1994 Comment on Proposed Rules 10CFR2,51 & 54 Re Rulemaking for NPP License Renewal.Endorses Comments & Changes Proposed by NEI 941208 Submittal ML20149H0851994-11-0404 November 1994 Initial Decision (Construction Period Recovery/Recapture).* Renewed Motion to Reopen Record 940808,denied.Served on 941104.W/Certificate of Svc ML20072L2651994-08-23023 August 1994 PG&E Opposition to San Luis Obispo Mothers for Peace Renewed Motion to Reopen Record.* Util Opposes San Luis Obispo for Peace Motion Based on Affidavit Stating No Evidence Found in Motion Re Flaw in Program.W/Certificate of Svc ML20072F0291994-08-12012 August 1994 Erratum to San Luis Obispo Mothers for Peace Motion to Reopen Record.* Intervenors Corrects Error in Renewed Motion to Reopen Record Re Application for License Amend to Extend Term of Operating License for Plant.W/Certificate of Svc ML20072B2651994-08-0909 August 1994 Comment Supporting Proposed Rule 10CFR26 Re FFD Requirements Concerning Random Drug Testing ML20072A5821994-08-0808 August 1994 San Luis Obispo Mothers for Peace Renewed Motion to Reopen Record Re PG&E Application for Amend to Extend Term of OL for Plant.* Motion to Reopen Record to Introduce Insp Rept Identifying Alleged Problems W/Plant.W/Certificate of Svc ML20071L2061994-07-26026 July 1994 Comment Supporting Proposed Rule 10CFR26 Re Changing Current Drug Testing Policies to Exclude All Personnel in nonsafety-related Positions ML20072B8481994-07-26026 July 1994 Comment Opposing Proposed Rule 10CFR26 Re Changes to FFD Requirements Concerning Random Drug Testing ML20071L1901994-07-20020 July 1994 Comments on Proposed Rule 10CFR26 Re Relaxing Rule on Drug Testing of Employees Working at NPP DCL-94-134, Comment Supporting Petition for Rulemaking PRM-50-60 Re Amend to 10CFR50.54 by Changing Frequency W/Which Each Licensee Conducts Independent Reviews of Emergency Preparedness Program1994-06-27027 June 1994 Comment Supporting Petition for Rulemaking PRM-50-60 Re Amend to 10CFR50.54 by Changing Frequency W/Which Each Licensee Conducts Independent Reviews of Emergency Preparedness Program DCL-94-135, Comment Supporting Petition for Rulemaking PRM-50-59 Re Proposed Amend to 10CFR50.54(p) Concerning Frequency W/Which Licensee Conducts Independent Reviews of Security Programs1994-06-27027 June 1994 Comment Supporting Petition for Rulemaking PRM-50-59 Re Proposed Amend to 10CFR50.54(p) Concerning Frequency W/Which Licensee Conducts Independent Reviews of Security Programs ML20064D1791994-03-0707 March 1994 Pacific Gas and Electric Co Reply in Opposition to San Luis Obispo Mothers for Peace Motion to Reopen Record.* Motion to Reopen Record Denied.W/Certificate of Svc ML20064D1961994-03-0404 March 1994 Affidavit of Mj Angus Re Motion to Reopen Record ML20063L5721994-02-25025 February 1994 San Luis Obispo Mothers for Peace Re Util Application for License Amend to Extend Term of Operating License for Plant.* Advises That Record of Proceeding Should Be Reopened to Consider Insp 93-36 Re Util Surveillance of Asw Sys DCL-94-021, Comment Supporting Petition for Rulemaking PRM-21-2 Re Commercial Grade Item Dedication Facilitation1994-01-26026 January 1994 Comment Supporting Petition for Rulemaking PRM-21-2 Re Commercial Grade Item Dedication Facilitation ML20059D2431994-01-0707 January 1994 Package of Intervenor Exhibits Consisting of Related Correspondence Not Admitted Into Evidence.Related Correspondence ML20062N0001993-12-30030 December 1993 PG&E Reply Findings of Fact & Conclusions of Law.* Mothers for Peace Proposed Findings & Conclusions Do Not Provide Any Supportable Rationale to Change Findings & Conclusions Previously Proposed by Pg&E.W/Certificate of Svc ML20058P3931993-12-22022 December 1993 NRC Staff Findings of Fact & Conclusions of Law in Form of Initial Decision.* Certificate of Svc ML20058K7491993-12-0202 December 1993 NRC Staff Motion for Extension of Time.* Board Has Extended Filing Time for Util Until 931230.W/Certificate of Svc. Served on 931206.Granted for Board on 931203 ML20058K8771993-12-0202 December 1993 NRC Staff Motion for Extension of Time.* Requests That Board Extend Date for Staff to File Findings Until 931222. W/Certificate of Svc ML20059M5291993-11-19019 November 1993 Applicant Exhibits A-21,A-22,A-24,A-25,A-26,A-29 & A-F1, Consisting of Related Correspondence Not Admitted Into Evidence.Related Correspondence ML20058E0741993-11-19019 November 1993 San Luis Obispo Mothers for Peace Proposed Findings of Fact & Conclusions of Law Re Licensee Application for License Amend to Extend Term of Operating License for Plant.* W/ Certificate of Svc ML20059E8931993-10-28028 October 1993 Memorandum & Order (Motion for Extension of Time).* San Luis Obispo Mothers for Peace 931018 Request for two-wk Extension of Time to File Proposed Findings of Fact & Conclusions of Law Granted.W/Certificate of Svc.Served on 931029 ML20059E8531993-10-27027 October 1993 NRC Staff Response to Board Memorandum & Order Re Extension of Time.* Staff Believes That San Luis Obispo Mothers for Peace Has Shown No Good Cause for Requesting Extension to File Proposed Findings of Fact.W/Certificate of Svc ML20059E8631993-10-25025 October 1993 Pacific Gas & Electric Co Response to Motion for Extension of Time.* Util Does Not Agree W/Board Assessment That Mothers for Peace Request Appears to Be Reasonable But Will Not Oppose Request.W/Certificate of Svc ML20059B2191993-10-19019 October 1993 Memorandum & Order (Responses to Motion for Extension of Time).* Board Believes Intervenor Request for Extension of Time to File Proposed Findings of Fact Appears Reasonable. W/Certificate of Svc.Served on 931019 ML20059B1071993-10-18018 October 1993 San Luis Obispo Mothers for Peace Motion for Extension of Time for Filing Proposing Findings of Fact & Conclusions of Law.* Requests Extension of Two Wks or Until 931119 to File Proposed Findings of Fact.W/Certificate of Svc ML20057D0531993-09-23023 September 1993 Notice of Appearance.* Notice Given That Undersigned Attorney Enters Appearance in Listed Matter & Listed Info Provided.W/Certificate of Svc ML20057B0401993-09-14014 September 1993 NRC Staff Reply to PG&E Response to Staff Motion to Amend Protective Order.* NRC Staff Moves Board to Adopt Language Requested in 930817 Motion as Stated.W/Certificate of Svc ML20056G4891993-08-30030 August 1993 Pacific Gas & Electric Co Response to Motion to Amend Protective Order.* Staff Asks That Protective Order Be Clarified by Adding New Footnote to Paragraph 3 of Order. W/Certificate of Svc ML20059M1381993-08-24024 August 1993 Staff Exhibit S-1,consisting of Re 920519 Enforcement Conference ML20059D2071993-08-24024 August 1993 Intervenor Exhibit I-MFP-193,consisting of Review of LER 1-90-015-00,re Docket 50-275,dtd 910118 ML20059D2241993-08-24024 August 1993 Intervenor Exhibit I-MFP-220,consisting of Protest of Util ML20059M8621993-08-24024 August 1993 Intervenor Exhibit I-MFP-35,consisting of Rept, Self- Evaluation of Diablo Canyon Power Plant, Dtd Jul 1993 IR 05000275/19920261993-08-24024 August 1993 Intervenor Exhibit I-MFP-118,consisting of Notice of Violation & Insp Rept Re Docket 50-275/92-26 & 50-323/93-26,dtd 921113 ML20059D0841993-08-24024 August 1993 Intervenor Exhibit I-MFP-139,consisting of Insp Rept Re Dockets 50-275 & 50-323,dtd 920417 IR 05000275/19920131993-08-24024 August 1993 Intervenor Exhibit I-MFP-140,consisting of 920416,mgt Meeting Repts 50-275/92-13 & 50-323/92-13 IR 05000275/19910061993-08-24024 August 1993 Intervenor Exhibit I-MFP-71,consisting of Rept of EC W/Util Mgt,Re Rept Numbers 50-275/91-06 & 50-323/91-06,dtd 910411 IR 05000275/19930111993-08-24024 August 1993 Intervenor Exhibit I-MFP-26,consisting of Re Insp Repts 50-275/93-11 & 50-323/93-11 1999-09-20
[Table view] Category:PLEADINGS
MONTHYEARML20195E8841998-11-24024 November 1998 Petition for Mod to OLs to Require Plant Owner to Have Independent Contractor Evaluate Plant Safety Culture ML20072L2651994-08-23023 August 1994 PG&E Opposition to San Luis Obispo Mothers for Peace Renewed Motion to Reopen Record.* Util Opposes San Luis Obispo for Peace Motion Based on Affidavit Stating No Evidence Found in Motion Re Flaw in Program.W/Certificate of Svc ML20072F0291994-08-12012 August 1994 Erratum to San Luis Obispo Mothers for Peace Motion to Reopen Record.* Intervenors Corrects Error in Renewed Motion to Reopen Record Re Application for License Amend to Extend Term of Operating License for Plant.W/Certificate of Svc ML20072A5821994-08-0808 August 1994 San Luis Obispo Mothers for Peace Renewed Motion to Reopen Record Re PG&E Application for Amend to Extend Term of OL for Plant.* Motion to Reopen Record to Introduce Insp Rept Identifying Alleged Problems W/Plant.W/Certificate of Svc ML20064D1791994-03-0707 March 1994 Pacific Gas and Electric Co Reply in Opposition to San Luis Obispo Mothers for Peace Motion to Reopen Record.* Motion to Reopen Record Denied.W/Certificate of Svc ML20063L5721994-02-25025 February 1994 San Luis Obispo Mothers for Peace Re Util Application for License Amend to Extend Term of Operating License for Plant.* Advises That Record of Proceeding Should Be Reopened to Consider Insp 93-36 Re Util Surveillance of Asw Sys ML20058K7491993-12-0202 December 1993 NRC Staff Motion for Extension of Time.* Board Has Extended Filing Time for Util Until 931230.W/Certificate of Svc. Served on 931206.Granted for Board on 931203 ML20058K8771993-12-0202 December 1993 NRC Staff Motion for Extension of Time.* Requests That Board Extend Date for Staff to File Findings Until 931222. W/Certificate of Svc ML20059E8531993-10-27027 October 1993 NRC Staff Response to Board Memorandum & Order Re Extension of Time.* Staff Believes That San Luis Obispo Mothers for Peace Has Shown No Good Cause for Requesting Extension to File Proposed Findings of Fact.W/Certificate of Svc ML20059E8631993-10-25025 October 1993 Pacific Gas & Electric Co Response to Motion for Extension of Time.* Util Does Not Agree W/Board Assessment That Mothers for Peace Request Appears to Be Reasonable But Will Not Oppose Request.W/Certificate of Svc ML20059B1071993-10-18018 October 1993 San Luis Obispo Mothers for Peace Motion for Extension of Time for Filing Proposing Findings of Fact & Conclusions of Law.* Requests Extension of Two Wks or Until 931119 to File Proposed Findings of Fact.W/Certificate of Svc ML20057B0401993-09-14014 September 1993 NRC Staff Reply to PG&E Response to Staff Motion to Amend Protective Order.* NRC Staff Moves Board to Adopt Language Requested in 930817 Motion as Stated.W/Certificate of Svc ML20056G4891993-08-30030 August 1993 Pacific Gas & Electric Co Response to Motion to Amend Protective Order.* Staff Asks That Protective Order Be Clarified by Adding New Footnote to Paragraph 3 of Order. W/Certificate of Svc ML20056E8951993-08-17017 August 1993 Motion to Amend Protective Order (Governing non-disclosure of INPO Rept).* NRC Moves That Board Add Footnote to Paragraph 3.Certificate of Svc Encl ML20056E8021993-08-12012 August 1993 NRC Staff Opposition to San Luis Obispo Mothers for Peace Leave to Conduct Discovery on NRC Inquiry Into Allegations Re Pressure to Falsify Fire Watch Logs Motion for Postponement of Hearing....* W/Certificate of Svc ML20056E7371993-08-12012 August 1993 PG&E Response to San Luis Obispo Mothers for Peace Motion for Further Discovery & for Delay in Hearing Thermo-Lag Contention.* W/Certificate of Svc ML20046D1091993-08-11011 August 1993 San Luis Obispo Mothers for Peace Request for Leave to Conduct Discovery on NRC Inquiry Into Allegations Re Pressure to Falsify Fire Watch Logs,Motion for Postponement of Hearing on thermo-lag Contention.* ML20046B9531993-07-22022 July 1993 Pacific Gas & Electric Co Motion to Require cross-exam Plans.* Requests That Board Require cross-examination Plans from Parties That Intend to Conduct cross-examination. W/Certificate of Svc ML20046B9181993-07-22022 July 1993 PG&E Request to Defer Briefing Schedule on Ref Ruling Re INPO Documents.* Board Erred as Matter of Law in Ordering Release of INPO Evaluation & Ref Ruling Should Be Reversed by Commission.* W/Certificate of Svc ML20056C8721993-07-16016 July 1993 Pacific Gas & Electric Co Response to 930701 Motion to Compel.* Concludes That Motion to Compel Moot & Should Be Denied.W/Certificate of Svc ML20045G9691993-07-0202 July 1993 PG&E Response to Licensing Board Questions Re INPO Documents.* ML20045G9561993-07-0101 July 1993 Intervenor San Luis Obispo Mothers for Peace Motion to Compel PG&E to Respond to Third Set of Supplemental Interrogatories & Requests for Document Production,Filed by San Luis Obispo Mothers for Peace.* W/Certificate of Svc ML20045G9431993-07-0101 July 1993 Intervenor San Luis Obispo Mothers for Peace (Slomfp) Response to Prehearing Conference Order Re INPO Documents.* Slomfp Cannot Provide Info by Affidavit Due to Lack of Info Re Content of INPO Documents.W/Certificate of Svc ML20045D7341993-06-21021 June 1993 Pge Motion for Schedule Change.* Util Moves That Licensing Board Adopt Listed Revised Schedule.W/Certificate of Svc ML20128P1821993-02-12012 February 1993 PG&E Preliminary Response to Discovery Request Filed Per 10CFR2.741(a)(2) & Motion for Protective Order.* Util Agrees to & Will Support Reasonable Discovery Into Issues within Scope of Contentions Admitted by Aslb.W/Certificate of Svc ML20128D8661993-02-0303 February 1993 Intervenor San Luis Obispo Mothers for Peace Request to PG&E for Entry Upon Facility,Per 10CFR2.741(a)(2) for Purposes of Insp,Measuring & Photographing.* W/Certificate of Svc.Related Correspondence ML20127D5461992-09-0808 September 1992 NRC Staff Response to San Luis Obispo Mothers for Peace Ltr Request for Hearing.* Presiding Officer Should Defer Ruling on Standing Pending Receipt of Any Amend Petitioners May File.W/Certificate of Svc & Notice of Appearance ML20006D7721990-02-0808 February 1990 PG&E Response in Opposition to Application for Stay.* Stay of Random Drug Testing Under NRC Fitness for Duty Rule Should Be Denied on Basis of Untimeliness & Challenge Having No Merit.W/Proof of Svc ML20247Q1531989-07-24024 July 1989 Sierra Club Request to Withdraw Contentions.* Requests That All Outstanding Contentions in Current Proceedings Be Withdrawn W/Understanding That Further Discussion Will Occur Between Sierra Club & NRC Re Nepa.W/Certificate of Svc ML20154E4281988-05-11011 May 1988 Motion to Terminate Proceeding.* Requests Termination of Pending Proceedings on Grounds of Mootness.Supporting Documentation & Certificate of Svc Encl ML20148L9531988-03-31031 March 1988 Response to NRC Staff to Petition for Leave to Intervene Filed by San Luis Obispo Mothers for Peace.* Notice of Appearance & Certificate of Svc Encl ML20148L9301988-03-29029 March 1988 Answer of PG&E to Petition to Intervene in License Amend Proceedings of San Luis Obispo Mothers for Peace.* San Luis Obispo Mothers for Peace Failed to Satisfy Technical Standing Requirements of 10CFR2.714.W/Certificate of Svc ML20237E5071987-12-15015 December 1987 Motion for Leave to File Response of NRC Staff to Appeal of Sierra Club from ASLB Memorandum & Order of 870902 & Initial Decision of 870911,1 Day Late.* W/Certificate of Svc ML20237E6891987-12-15015 December 1987 Motion for Leave to File Response of NRC Staff to Appeal of Sierra Club from Licensing Board Memorandum & Order of 870902 & Initial Decision of 870911,1 Day Late.* Motion Should Be Granted.Certificate of Svc Encl ML20237E8191987-12-11011 December 1987 Response of NRC Staff to Appeal of Sierra Club from Licensing Board Memorandum & Order of 870902 & Initial Decision of 870911.* Staff Opposes Sierra Club Appeal & Urges That Board Decisions Be Affirmed.W/Certificate of Svc ML20236E0031987-10-21021 October 1987 PG&E Answer in Opposition to Sierra Club Request for Stay.* Util Lists Four Arguments Opposing Request for Stay,Issued by ASLB on 870911,re Util Amends to Increase Spent Fuel Storage Capacity.Affidavit & Certificate of Svc Encl ML20236C1831987-10-20020 October 1987 Intervenor Request for Stay.* Sierra Club Requests NRC to Stay Effectiveness of 870902 Order & 870911 Initial Decision of Licensing Board Until Sierra Club Has Had Opportunity to Participate in Proceeding Re Reracking.W/Proof of Svc ML20235T4071987-10-0505 October 1987 Response of NRC Staff to Intervenor Sierra Club Request for Stay.* Sierra Club Failed to Satisfy Requirements of 10CFR2.788 & Request for Stay Should Be Denied.W/Certificate of Svc ML20235R9611987-10-0202 October 1987 PG&E Answer in Opposition to Sierra Club Request for Stay.* Sierra Club 870924 Request for Stay of 870911 ASLB Initial Decision (LBP-87-25) Authorizing Spent Fuel Pool Reracking Amends Should Be Denied ML20235F2951987-09-24024 September 1987 Intevenors Request for Stay.* Seeks Stay of ASLB 870911 Initial Decision Authorizing NRR to Issue OL Amends, Permitting Reracking of Spent Fuel Storage Pools.W/Proof of Svc ML20234D3021987-09-16016 September 1987 Sierra Club Brief in Support of Appeal of ASLB 870902 Order.* Contention Contains Requisite Specificity to Be Admitted to Proceeding.Criteria for late-filed Contention Met.Proof of Svc Encl ML20238A5771987-08-14014 August 1987 Supplemental Brief Re Applicability of ALAB-869 to Inclusion of Zircalloy Cladding Fire Contention.* Sierra Club Believes Focus for Admission of Contentions Must Be Requirements of Atomic Energy Act & Nepa.Proof of Svc Encl ML20238A6521987-08-14014 August 1987 PG&E Supplemental Answer in Opposition to Intervenor Motion to Admit Late Filed Contention.* Sierra Club Motion to Admit Late Filed Contention & Direct Preparation of EIS Should Be Denied.Certificate of Svc Encl ML20238A6001987-08-13013 August 1987 Response of NRC Staff to ASLB Order of 870731 (Directing Parties to File Comments on Applicability of Aslab Decision in Vermont Yankee Nuclear Power Corp,ALAB-869,to Proposed Contentions at Issue in Matter).* Certificate of Svc Encl ML20236B8541987-07-21021 July 1987 Motion on Notification of Meetings,Establishment of Seismic Review Committee & Govt Exam of Design Calculations.* Motion Undated ML20235J1541987-07-10010 July 1987 PG&E Answer in Opposition to Intervenor Motion to Admit late-filed Contention.* Board Requested to Direct NRC Staff to Prepare EIS Re Issues Discussed in Generic Issue 82. Certificate of Svc Encl ML20235J1791987-07-10010 July 1987 NRC Staff Answer to Sierra Club Motion to Admit Contention Re Generic Issue 82 & to Direct Preparation of an Eis.* Denial Urged.Certificate of Svc Encl ML20216J7911987-06-29029 June 1987 Motion to Include Issues Raised in Generic Issue 82 as Contentions in Proceeding & to Direct Preparation of Eis.* Board Requested to Direct Preparation of EIS Re Possibility & Impact of Zircalloy Cladding Fires ML20214A9391987-05-13013 May 1987 NRC Staff Comments on Proposed Order Re Electronic Storage & Retrieval.* ASLB Proposed Order Should Not Be Adopted.If ASLB Agrees,Staff & Parties Could Supply ASLB w/MS-DOS Disks of Prefiled Testimony.Certificate of Svc Encl ML20207P7081987-01-15015 January 1987 NRC Staff Answer in Opposition to Sierra Club/Mothers for Peace Motion for Summary Disposition.* Motion Devoid of Any Factual Support Which Warrants Granting of Summary Disposition Re Environ Claims.W/Certificate of Svc 1998-11-24
[Table view] |
Text
. _ _ _ _ _ _ _ _ _ _ _ _ _ _ - _ _ _ _ _ _ _ _ _ . _ _ _ _ _ _ _ _ _ _ . _____ _ ____ _______ _____ ____ _ ________________________ ____________________________________-
r 1 MM
- ) RECEIVED
.6Lg',mm IN THE .l A N, '10 983
- U.NkW CLERK OF THE UNITED -
~ - g c',M hb fAO' g UNITED STATES COURT OF APPELLS STATES COURT OF APPEAIS ,
_,- 90 b
,gRgHgD?SpidCT OF COLUMBIA CIRCUIT
)
SAN LUIS OBISPO MOTHERS FOR PEACE, )
et al., ,)
) PETITION FOR REVIEW Petitioners, ) Q LU f t>1939 Docket NF.,]_
)
- v. )
)
NUCLEAR REGULATORY COMMISSION and )
THE UNITED STATES OF AMERICA, )
)
Respondents. )
)
The San Luis Obispo Mothers for Peace, et al.,1! hereby petition the Court for review of an Order of the Nuclear Regulatory Commission ("NRC" or " Commission") entered on December 23, 1982. In its Order, the Commission denied Petitioners' request for a hearing ~on an application by Pacific Gas and Electric Company ("PGandE") for amendment of an operating license previously issued for the Diablo Canyon 1! Petitioners herein are the San Luis Obispo Mothers for Peace, Scenic Shoreline Preservation Conference, Inc.,
Ecology Action Club, Sandra Silver, Gordon Silver, and Elizabeth Apfelberg. Each of these groups and individuals interver.ed in the administrative licensing proceedings before the Cc =ission, and they were collectively designated the Joint Ir.:ervenors.
Do o!oOgjj5 I
[3 PDR _
L/
i ;
i i ;
Nuclear Power Plant, Unit 1 ("Diablo Canyon") .S!
i The NRC's Order of December 23, 1982 is a final order
' made reviewable in the courts of appeals by 42 U.S.C. S 2239. ,
i~
Venue lies in this Court in accordance with the provisions of 28 U.S.C. S 2343.
On August 3, 1982, PGandE applied to the NRC for an amendment to its operating license for Diablo Canyon issued on 1
September 21, 1981. Petitioners promptly requested a hearing prior to a decision by the NRC on the proposed amendment.
Petitioners' hearing request was communicated to the NRC both by letter dated August 11, 1982 and by formal application f
dated August 17, 1982. By its Order issued December 23, 1982,_
the Commission denied Petitioners' request. Petitioners seek j
- review by the Court of that-Order. (A copy of the l
Commission's Order is attached hereto as Exhibit A.)
Petitioners assert that the NRC's December 23, 1982 Order rejecting their timely request unlawfully denies their right i
to a hearing guaranteed by the Atomic Energy Act, the j Administrative Procedure Act, and the Commission's own I regulations, as well as the Due Process Clause of the United l -
t S/ On September 21, 1981, the NRC issued Operating Licensing No. DPR-76 for Diablo Canyon authorizing PGandE to operate the facility. Before fuel was Iceded into the reactor, however, the Commission suspended the license pending i review of newly discovered design and construction errors in
! certain of Diablo Canyon's structures, systems, and components
' important to safety. On December 8, 1982, this Court held in abeyance petitions by the San Luis Obispo Mothers for Peace and the State of California for review of the issuance of the facility operating license. The license suspension remains in effect today.
States Constitution. The proposed license amendment which is the focus of Petitioners' hearing request is significant to safety because it would effectively renew an operating license i
which has been suspended for its full term due to the 6 I
discovery of widespread design and construction errors at the :
- Diablo Canyon plant.3/ Petitioners, who reside or have members who reside in the vicinity of the plant, !
unquestionably are persons "whose interest may be affected by !
the proceeding. . . ." 42 U.S.C. S 2239 (a) . j i
///
i
/// .
/// .
3/ Indeed, the Commission itself has acknowledged that the license which the proposed amendment would renew "would not have been issued" had the errors since disclosed been revealed prior to its issuance. In the Matter of Pacific Gas and Electric Company (Diablo Canyon Nuclear Power Plant, Units 1 and 2), CLI-80-30, at 3.
l i
)
WHEREFORE, Fe:itioners recuest the Court to review and
~
reverse -he Order of the Nuclear Regulatory Commission entered )
December 23, 1932.
DATED: January 20, '983
_ Respectfully submitted, JOEL R. REYNOLDS, ESQ.
JOHN R. PHILLIPS, ESQ.
Center for. Law in the Public Interest 10951 W. Pico Boulevard Los Angeles, CA 90064 (213)470-3000 DAVID S. ELEISCHAKER, ESQ.
P. O. Box 1178 oklahoma City, OK 73101 O
By kf EL R. W / MOLDS Attorneys for Petitioners SAN LUIS OBISPO MOTHERS FOR PEACE SCENIC SHORELINE PRESERVATION CO!)FERENCE , INC. N ECOLOGY ACTION CLUB SANDR;. SILVER ,
GORDON blLVER ELIZABETH APFELBERG CERTIFICATE OF SERVICE I hereby certify that on this 20th day of January, 1983, copies of the foregoing PETITION FOR REVIEW were filed in the United States Court of Appeals for the District of Columbia Circuit, were served by hand upon the Secretary, Nuclear Regulatory Commission, Washington, D.C. 20555, and upon William French Smith, Attorney General, United States Department of Justice, Washington, D.C. 20530, and were served by first class mail upon the following:
Herbert H. Brown, Esq.
Charles Lee Eisen, Esq.
Lawrence Coe Lanpher, Esq.
Kirkpatrick, Lockhart, Hill, -
Christopher and Phillips 1900 M Street, N.W.
Washington, D.C. 20036
~~
~
Philip A. Crane, Jr., Esq.
Richard F. Locke, Esq.
F. Ronald Lanpheimer, Esq.
Pacific Gas and Electric Co.
1050 17th Street, N.W.
Suite 1180 Washington, D.C. 20036 Bruce Norton, Esq.
Norton, Burke, Berry and Janck 3216 N. Third Street Suite 300 .,
Phoenix, AZ 85012 .
O OEL R. M Y$DLDS
ifRVEb DEC 231982 D'"E.IIU
~~
UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION .g7 p f.23 FM :31 -
COMMISSIONERS: -
Nunzio J. Palladino, Chairman -
Victor Gilinsky John F. Ahearne Thomas M. Roberts James K. Asselstine
)
In the Matter of PACIFIC GAS AND ELECTRIC COMPANY Decket Nos. 50-275 0.L.
50-323 0.L.
(Diablo Canyon Nuclear Power )
Plant, Units 1 and 2) )
)
MEMORANDUM AND ORDER .
(CL1 39)
A. Background On July 17, 1981, the Atomic Safety and Licensing Board (Licensing Board) issued a partial initial decision in the Diablo Canyon operating license proceeding'that approved the request of Pacific Gas and Electric Company (PG&E) for a license to load fuel and conduct low-powertesting.1/ Fol' lowing the effectiveness review conducted
~
1/ Pacific Gas and Electric Comoany (Diablo Can Units 1 and 2), LBP-81-21,14 NRC 107 .(1981) yon Nuclear This decision relied Plant, on several earlier adjudicatory decisions and was conditioned upon one subsequent decision. LBP-78-19, 7 NRC 989 (1981); LBP-79-26, 10 NRC 453 (1979); ALAB-644, 13 NRC 903 (1981) (Seismic); and ALAB-653, 14 NRC 629 (1981) (Physical Security).
1 EXHIBIT A
-' 2 pursuant to 10 CFR 2.764(f), the Commission authorized the isrvance of
-- such a license f.or Diablo Canyon Nuclear Power Plant, Unit 1.E The NF.C .
staff issued the license on September 22, 1981. Soon thereafter, F3sE informed the NRC of the discovery of an error in the seisnic design of equipment and piping in the containment annulus of Diablo Canyon Unit 1.
Further inquiry by PG&E and the NRC staff disclosed additional errors in the plant. On November 19, 1981, the Comission suspended PG3E's license to load fuel and conduct low-power testing pending the satisfactory completion of an independent design verification program (IDVP).E The IDVP remains in progress at .'lis date.
OnJune8,1982,the"JointIntervenors"EI in the operating license proceeding filed a motion requesting the Atomic Safety and Licensing ,
Appeal Board (Appeal Board) to vacate the Licensing Board's July 17, t 1981 findings on its sua sconte review of the Diablo Canyon quality assurance program, revoke the low-power license, and reopen the record for hearing and the submission of relevant new evidence. The Joint Intervenors focused their request on evidence regarding breakdowns in E Pacific Gas and' Electric Company (Diablo Canyon Nuclear Power Plant, Units 1 and 2), CLI-81-22, 14 NRC 598 (1981).
3_/ Pacific Gas and Electric Company (Diablo Cangn Nuclear Power 9 Plant, Unit 1), CLI-81-30, 14 NRC 950 (1981). -
Al Collectively labeled, the joint intervenors are the San Luis Cbispo Mothers for Peace, Scenic Shoreline Preservation Conference, :nc.,
Ecology Action Club, Sandra Silver, Gordon Silver, Elizabeth Apfelberg and John J. Forster.
N
3 '
the Diablo Canyon Quality Assurance and Quality Control (QA/QC) program.
On July 16, 1982, the Appea'. Board certified to the Commission three
~
questions regarding Joint Intervenors' motion.
Subsequent to the certification, Governor Edmund G. Brown, Jr. ,
filed a motion to reopen the full-power proceeding with the Licensing Board. Governor Brown's motion focused on essentially the same subject as Joint Intervenors' motion to reopen the low-power proceeding. In the -
August 31, 1982 initial decision concluding its review of PG&E's full-power operating license application, the Licensing Board declared that the motion to reopen the full-power proceeding was misdirected, stating that QA/QC issues had been decided in full in the Licensing Board's July 17, 1981 partial initial decision in the low-power proceeding.5_/ The Licensing Board noted that it no longer had jurisdiction of that record but held Governor Brown's motion under advisement pending the Commission response to these certified questions.
The Commission intends this response to the certified questions to apply equally to the motion to reopen the full-power proceeding.
B. Certified Questions .
The Appeal Board's c'ertified questions focus on the jurisdictional issue presented by the relationship between the IDVP and the operating license proceeding. The questions and the Commission responses are set forth below.
- 1. Did the Commission intend its November 19, 1981 order Pacific Gas and Electric Comoany (Diablo Canyon Nuclear Power
-5/ , Slip op. at 8 (August Plant, Units 1 ano 2), LBP-82-70, 16 NRC 31,1982).
4 suspending the low-power license for Diablo Canyon, Unit 1, and establishing an independent verification program to deprive the appropriate adjudicat.ory boards of jurisdiction to consider a motion to reopen the record based on the QA/QC questions regarding Diablo Canyon?
- 2. If not, does the Commission now wish to relieve the
~~~
adjudicatory boards o' jurisdiction with regard to the QA/QC issues at Diablo Canyon?
The Commission did not intend the issuance of the suspension order and establishment of the IDVP to deprive the adjudicatory boards of jurisdiction to consider and act on the motions to reopen and does not wish to do so now. Thus, these questions are answered in the negative.
- 3. If the Commission has not divested, and does:not intend.to divest, the adjudicatory boards of jurisdiction over the QA/QC _.
issues at Diablo Canyon what, if any, instructions _does the Commission have with regard to timing or other matters raised by the motion to reopen?
The Commission believes the motions to reopen should be addressed according to the criteri[ for resolving such matters established in its case-law and rules of practice, 10 CFR Part 2. Where a motion to reopen relates to a previously uncontested issue, the moving party must satisfy ,,
both the standards for admitting late-filed contentions,10 CFR 2.714(a), and the criteria established by case-law for reopening the record. Pacific Gas and Electric Comoany (Diablo Canyon Nuclear Power Plant, Units 1 and 2), CLI-81-5, 13 NRC 361 (1981). Furthermore, the Commission notes that reopening the record does not necessarily require that fuel loading and low-power testing be stayed. The Appeal Board
.- 5 shall respond separately to stay requests in accord with the applicable criteria.5I C. Reouest For Hearina on Low-Power License Extension Also pending before the Commission at this time is Joint Intervenors' August 17, 1982 request for a hearing pursuant to section 189a of the Atomic Energy Act on PG&E's application for an amendment extending the suspended low-power license. PG&E's low-power license, due to expire September 22, 1982, one year from the date of issuance, remains in effect following PG&E's timely request for renewal pending a Comission decision on the application for an extension.E
~
As the Commission has previously held, a request for a low-power license does not give rise to a proceeding separate and apart from a pending full-power operating license proceeding.8_/ It,follows ,
that this hearing request is subsumed within the scope of the continuing full-power proceeding, as was the request for a low-power license.
Further operation at low-power is within the scope of PG&E's application 5/ In this regard, currently there is nothing to stay. As a separate matter, several steris must occur independent of the requests addressed here befor'e fuel loading, low-power testing and full-power operation may be authorized. Before fuel loading and low-power testing, the Comission must decide whether to lift the suspension and reinstate the fuel loading and low-power license--concluding the Comission enforcement action taken on November 19, 1981,(license suspension, see note 3 infra). In addition, the Comission must ' complete its immediate effectiveness review before full power can be authorized. The Commission does not plan to conduct any additional low-power effectiveness review.
However, it still has a Licensing Board decision on full-power issues to review and will discuss uncontested issues with the staff before a full-power license may be issued.
U See, 5 U.S.C. 558; 10 CFR 2.109.
8_/ Pacific Gas and Electric Company (Diablo Canyon Nuclear Power Plant, Units 1 and 2), CLI-81-5, 13 NRC 361, 362 (1981).
.. 6 for a full term full-power license and is controlled by the record developed to date in the operating license proceeding. Thus, there is
~
no section 189a right to a separate hearing here and no need for any "significant hazards consideration" finding of the type that would be called for were this a separate proceeding on an application for a license amendment. For the same reason, Sholly v. U.S. Nuclear Regulatory Commission, 651 F.2d 780 (D.C. Cir.1980) (per curiam), cert.
granted, 451 U.S. 1016 (1981), does not require a hearing in this instance. This request for a hearing would ordinarily be treated as a motion to reopen the low-power record. In this instance, Joint Intervenors have already filed a motion to reopen the low-power record with the Appeal Board. Accordingly, the request for a hearing on the extension of the low-power license is duplicative and is hereby denied.
The separate views of Commissioner Gilinsky are attached.
It is so ORDERED.
Fo ;the Commission,
.. 1 Sa'muel J. Chily' Secretary of theCommission Dated at Washington, D.C.
this OL34 day of December,1982.
SEPARATE VIEWS OF COMMISSIONER GILINSEY DIABLO CANYON CERTIFICATION I am astonished and disappointed that this Commission, which has so frecuently and vociferously announced its desire to simplify the hearing process, should reject the suggestion that the Diablo Canyon low-power and the full-power hearings he merged into a single hearing. As far,as I can tell, the only plausible rationale for keeping two hearings going is the remote possibility that this would permit PG&E to begin low power testing (though not commercial operation) a few weeks earlier than would otherwise be possible.
This hardly justifies the confusion and procedural ,
complexity caused by two simultaneous hearings on the same operating license. The Commission should consolidate the .
two hearings.
4 e
e m,, - n a .--m - . . = . . , . . ,y - - , g.,.,, ,.4 , r, c.- _ . n-