ML20039B107

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Request for Admissions.Related Correspondence
ML20039B107
Person / Time
Site: Zimmer
Issue date: 12/14/1981
From:
MENTOR, KY
To:
CINCINNATI GAS & ELECTRIC CO.
References
NUDOCS 8112220295
Download: ML20039B107 (2)


Text

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TE.l. C C03Er02 30E l 12/14/1981.

i._______. -l UNITED STATES OF AMERICA

  • NUCLEAR REGULATORY COMMISSION EI-~

4 BEFORE 'lHE ATOMIC SAFETY AND LICENSINC BOARD

'81 GEC 17 P2:04 In the Matter of a

CINCINNATI- GAS AND ELECTRIC CO., et al.

(Wm.F H6Ziimer:

a.C h Nuclear Power Station, Unit 1)  :

Docket No. 50-358 To: Troy Conner .

1747 Pennsylvania Avenue, N.W. a '

Washington, D.C. 20014 D OTO.

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% %ZgJg CITY 0? MENTOR REQUES'IS FOR ADMISSIONS FROM  % APPLICAN g,y 1: . . ;; , , -

The Intervenor, the City of Mentor, pursuant to 10 C.F.R. 52.742 requests that the Applicant, within 10 days after service of this request, make the following admissions under oath or affination that the following statements are true:

1.

That portions of the State of Indiana are within 50 miles of the Zimmer Power Station and are therefore within the Ingestion Pathway Emerge Planning Zone.

2 That the State of Indiana has no Radiological Emergency Plan at the date of this request.

3.

That the State of Indiana and the State of Kentucky engage in inter-state commerce of food and milk products.

4 That some of the food and milk products processed or grown within 50 miles of Zimmer Power Station eventually reach Campbell County, Kentucky where they are used, sold, consumed or otherwise disposed of.

5.

That the Commonwealth of Kentucky does not have written and compre-hensive standard operating procedures for emergency operation centers.

6.

That the Co=monwealth of Kentucky does not have written and compre-hensive standard operating procedures for notification of all concerned C5d 5 parties in the event of an accident.

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7.

That the Commonwealth of Kentucky does not have written and compre-hersive standard operating procedures for schools in the event of an accident.

8.

That the commonwealth of Kentucky does not have written and compre-hensive standard operating procedures for activation of the Emergency Broad-cast System.

9.

That the Commonwealth of Kentucky does not have written and compre-hensive standard operating procedures for Ingestion Pathway Protective Actions Recommendations.

10 That the State of Indiana does not have written and comprehensive standani operatin6 proce'dures for Ingestion Pathway Protective Actions Re-

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11.

That the Commonwealth of Kentucky does not have written and compre-hensive standari operating procedures for use and distribution of potassium iodine.

12 That an exercise has not been held to fully test the prompt notification system as described in the Kentucky, Campbell County, Bracken County, and Pendleton County Radiological Emergency Plans.

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