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Category:INTERROGATORIES; RESPONSES TO INTERROGATORIES
MONTHYEARML20094H7321984-08-10010 August 1984 Supplemental Response to Joint Interrogatories & Requests to Produce Documents on Diesel Generator Contentions & to Carolina Environ Study Group Interrogatories.Prof Qualifications Encl.Related Correspondence ML20094H7651984-08-10010 August 1984 Interrogatories Re Identification,Qualifications & Role of Expert on Diesel Generator Contention.Certificate of Svc Encl.Related Correspondence ML20094A6331984-08-0101 August 1984 Response to Palmetto Alliance & Carolina Environ Study Group Seven Interrogatories for Which ASLB Granted Motion to Compel.Certificate of Svc Encl.Related Correspondence ML20090E5801984-07-18018 July 1984 Interrogatories & Requests for Production Directed to R Anderson on Newly Admitted Contention Re Diesel Generator Engine Problems.Certificate of Svc Encl.Related Correspondence ML20092K7121984-06-25025 June 1984 Supplemental Response to Joint Interrogatories & Requests to Produce Documents on Diesel Generators Contentions & Interrogatories Re Admitted Emergency Diesel Contentions. Related Correspondence ML20084D2201984-04-27027 April 1984 Supplemental Answers to Carolina Environ Study Group & Palmetto Alliance First Round of Interrogatories.Certificate of Svc Encl.Related Correspondence ML20087P4201984-04-0606 April 1984 Response to Palmetto Alliance & Carolina Environ Study Group Interrogatories & Requests to Produce Documents on Diesel Generator Contentions.Related Correspondence ML20087P1141984-04-0101 April 1984 Palmetto Alliance & Carolina Environ Study Group Responses to Util Interrogatories & Requests to Produce Documents on ASLB Contention Re Certain Diesel Generator Problems. Certificate of Svc Encl.Related Correspondence ML20087N6661984-03-29029 March 1984 Supplemental Answers to Carolina Environ Study Group & Palmetto Alliance 840329 First Set of Interrogatories Re Emergency Planning.Certificate of Svc Encl.Related Correspondence ML20087M4741984-03-25025 March 1984 Responses to Util Interrogatories & Request to Produce Documents on Diesel Generator Contention.Certificate of Svc Encl.Related Correspondence ML20087J4841984-03-22022 March 1984 Interrogatories & Requests to Produce Documents Re Diesel Generator Contentions to Applicant & NRC Staff.Certificate of Svc Encl.Related Correspondence ML20087J4901984-03-19019 March 1984 Supplemental Interrogatories to Util Re Emergency Diesel Contentions Admitted by Aslb.Certificate of Svc Encl.Related Correspondence ML20087G4121984-03-19019 March 1984 Interrogatories & Requests to Produce Documents to Carolina Environ Study Group & Palmetto Alliance on ASLB Contention Re Diesel Generator Reliability.Certificate of Svc Encl. Related Correspondence ML20087C4751984-03-11011 March 1984 Interrogatories & Requests to Produce Documents on Diesel Generator Contention to Carolina Environ Study Group & Palmetto Alliance.Certificate of Svc Encl.Related Correspondence ML20080G0121984-02-0606 February 1984 Responses to Second Round of Interrogatories Re Emergency Planning Contentions 1,3,6,7,8,9,11,15 & 18.Certificate of Svc Encl.Related Correspondence ML20079P7201984-01-26026 January 1984 First Round of Interrogatories Re Emergency Planning Contentions 1,3,6,7,8,9,11,14,15 & 18.Affirmation of Svc Encl ML20079J3631984-01-20020 January 1984 Second Round of Interrogatories Re Palmetto Alliance & Carolina Environ Study Group Emergency Planning Contentions 1,3,6-9,11,14,15 & 18.Certificate of Svc Encl.Related Correspondence ML20079L4551984-01-17017 January 1984 Response to First Round of Interrogatories & Requests to Produce Re Emergency Planning Contentions 1,3,6-9,11,14,15 & 18.Certificate of Svc Encl.Related Correspondence ML20083E5061983-12-22022 December 1983 First Round Interrogatories & Requests to Produce Re Emergency Planning Contentions 1,3,6-9,11,14-15 & 18. Certificate of Svc Encl ML20078A3981983-09-19019 September 1983 Supplemental Responses to Interrogatories & Requests to Produce Re Contention 6.Certificate of Svc Encl ML20077P2911983-09-0808 September 1983 Supplemental Responses to Interrogatories & Requests to Produce Re Contention 6.Certificate of Svc Encl.Related Correspondence ML20072F1731983-06-20020 June 1983 Response to Interrogatories & Requests to Produce Re Carolina Environ Study Group Contention 13.Affirmation of Svc Encl.Related Correspondence ML20072A5951983-06-0808 June 1983 Supplemental Response to Interrogatory 17 on Contention 7 ML20072A5921983-06-0606 June 1983 Responses to Util 830523 Followup Interrogatories on Des Contentions 11,17 & 19 ML20071N1701983-05-27027 May 1983 Further Supplementary Responses to Util Interrogatories Re Contentions 6,7,8,16 & 44 & NRC Interrogatories Re Contention 7 & Responses to Util & NRC Followup Interrogatories.Certificate of Svc Encl ML20071H0641983-05-18018 May 1983 Followup Interrogatories Re Des Contentions 11,17 & 19. Certificate of Svc Encl.Related Correspondence ML20073T1251983-05-0404 May 1983 Followup Interrogatories to Palmetto Alliance Contentions 6, 7,8,16 & 27.Answer Must Be Filed by 830520.Certificate of Svc Encl.Related Correspondence ML20023B7531983-05-0202 May 1983 Responses to 830418 Interrogatories & Requests to Produce Re Des Contentions 11,17 & 19.Related Correspondence ML20069L1451983-04-25025 April 1983 Interrogatories & Requests to Produce Re Contentions 1,2,3 & 4.Certificate of Svc Encl ML20073P1121983-04-20020 April 1983 Responses to 830401 Discovery & Document Production Requests Re Carolina Environ Study Group Contention 18 & Des Contention 17.Certificate of Svc Encl ML20073P6061983-04-19019 April 1983 Supplementary Responses to Interrogatories Re Contention 6, 7,8,16,27 & 44.Certificate of Svc Encl.Related Correspondence ML20073K4261983-04-18018 April 1983 Interrogatories & Requests to Produce Re Palmetto Alliance & Carolina Environ Study Group Joint Des Contentions 11,17 & 19.Certificate of Svc Encl.Related Correspondence ML20073G8301983-04-12012 April 1983 Addl Info to Initial & Followup Interrogatories.Related Correspondence ML20072R7361983-04-0101 April 1983 Discovery & Document Production Requests on Contention 18 Re Reactor Weld Cracks & Contention 17 Re Sandia Study Comparing Injury & Mortality Rates for Serious Accidents. Certificate of Svc Encl.Related Correspondence ML20072L5351983-03-28028 March 1983 Response to 830308 First Set of Interrogatories & Document Requests on Contention DES-17.Affirmation of Svc Encl. Related Correspondence ML20072N6081983-03-25025 March 1983 Responses to Palmetto Alliance 830316 Followup Interrogatories & Requests to Produce Documents Re Contentions 6,7,8,16,27 & 44.List of Major Plant Differences,Affidavits & Certificate of Svc Encl ML20072G3411983-03-17017 March 1983 Response to 821215 Second Set of Interrogatories & Document Production Requests.Affidavit of Svc Encl.Related Correspondence ML20069F5071983-03-16016 March 1983 Followup Interrogatories & Requests to Produce Re Palmetto Contentions 6,7,8,16,27 & 44.Certificate of Svc Encl.Related Correspondence ML20079P1331983-02-28028 February 1983 Supplemental Response to Interrogatories & Requests to Produce Re Palmetto Alliance Contentions 6,7,8,27 & 44,in Response to ASLB 830209 Memorandum & Order.Certificate of Svc Encl.Related Correspondence ML20028C8801983-01-10010 January 1983 Interrogatories & Requests to Produce Re Palmetto Alliance Contentions 8 & 27.Certificate of Svc Encl ML20064C4131982-12-31031 December 1982 Response to 820420 First Set of Interrogatories & Requests to Produce & 820927 Third Set of Interrogatories & Requests to Produce.Related Correspondence ML20028B9031982-12-0303 December 1982 Interrogatories & Requests to Produce Re Carolina Environ Study Group Contention 18/Palmetto Alliance Contention 44. Certificate of Svc Encl.Related Correspondence ML20028B4141982-11-22022 November 1982 Supplemental Responses to Third Set of Interrogatories & Requests to Produce.Certificate of Svc Encl.Related Correspondence ML20066C6301982-11-0606 November 1982 Supplementary Response to NRC & Util Interrogatories on Palmetto Alliance Contentions 8,16 & 27.Certificate of Svc Encl ML20069J3611982-10-19019 October 1982 Responses to Palmetto Alliance 820927 Third Set of Interrogatories & Requests to Produce.Related Correspondence ML20027B8811982-09-27027 September 1982 Third Set of Interrogatories & Requests to Produce Re Palmetto Alliance Contentions 16 & 44.Certificate of Svc Encl ML20063M2051982-09-0303 September 1982 Second Set of Interrogatories & Requests to Produce. Certificate of Svc Encl.Related Correspondence ML20063J5121982-08-30030 August 1982 Responses to Applicant Interrogatories & Requests to Produce Re Palmetto Alliance Contentions 8,16 & 27 & NRC Second Set of Interrogatories & Document Production Requests.Certificate of Svc Encl ML20062L5311982-08-16016 August 1982 Interrogatories & Requests to Produce Re Palmetto Alliance Contention 8.Certificate of Svc Encl.Related Correspondence ML20058J6881982-08-0909 August 1982 Interrogatories & Request to Produce Re Palmetto Alliance Contentions 16 & 27.Certificate of Svc Encl.Related Correspondence 1984-08-10
[Table view] Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20197J2871998-12-11011 December 1998 Initial Decision (Application for Senior Reactor Operator License).* Appeal of R Herring of NRC Denial of Application for SRO License Denied.With Certificate of Svc.Served on 981211 ML20151W5721998-09-11011 September 1998 NRC Staff Presentation in Support of Denial of Senior Reactor Operator License for Dl Herring.* Staff Decision to Fail Dl Herring on Category a of SRO Exam,Clearly Justified. Staff Denial of Herring SRO License Should Be Sustained ML20151W5941998-09-11011 September 1998 Affidavit of Cd Payne.* Affidavit Re NRC Staff Proposed Denial of Rl Herring Application for Senior Reactor Operator License for Use at Catawba Nuclear Station,Units 1 & 2 ML20151Y0601998-09-11011 September 1998 Affidavit of DC Payne.* Supports Denial of Application of Rl Herring for SRO License ML20151W6131998-09-0808 September 1998 Affidavit of Mn Leach in Support of NRC Staff Response to Rl Herring Written Presentation.* ML20151W6311998-09-0808 September 1998 Affidavit of ET Beadle.* Affidavit Relates to Denial of Senior Reactor Operator License Application for Rl Herring. with Certificate of Svc ML20237B6931998-08-13013 August 1998 Rl Herring (Denial of Operator License for Plant).* Rl Herring Submitted Written Presentation Arguments,Data, Info Matl & Other Supporting Evidence,Per Presiding Officer 980630 Order & 10CFR2.1233.W/one Oversize Drawing ML20237A3831998-08-12012 August 1998 NRC Staff Request for Extension of Time to File Response to Rl Herring Written Presentation.* Staff Respectfully Requests Motion for Extension of Time of 2 Wks to Respond to Herring Presentation Be Granted.W/Certificate of Svc ML20237B5571998-08-12012 August 1998 NRC Staff Request for Extension of Time to File Response to Rl Herring Written Presentation.* Granted by C Bechhoefer on 980818.W/Certificate of Svc.Served on 980818 ML20236T8511998-07-21021 July 1998 Specification of Claims.* Rl Herring Claims That Answer Given on Exam Was Correct When TSs Are Considered & When Design Basis Document Considered in Conjunction W/Duke Power Nuclear Sys Div.W/Certificate of Svc.Served on 980727 ML20236F5391998-06-30030 June 1998 Memorandum & Order (Hearing File & Spec of Claim).* Orders That Brief Spec of Claims Should Be Filed by Herring,Telling Why He Believes Staff Erred in Grading Exam.Staff Must Furnish Hearing File.W/Certificate of Svc.Served on 980630 ML20236F5631998-06-30030 June 1998 Notice of Hearing.* Presiding Officer Has Granted Request of Rl Herring for Hearing on NRC Denial of Application for Operator License for Plant.W/Certificate of Svc.Served on 980630 ML20149K8221997-07-29029 July 1997 Exemption from Requirements of 10CFR70.24, Criticality Accident Requirements. Exemption Granted 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 ML20065P4491994-04-21021 April 1994 Comment Opposing Proposed Rule 10CFR50.55 Recommendation to Incorporate Proposed Rule to Adopt ASME Code Subsections IWE & Iwl ML20044G7371993-05-25025 May 1993 Comment on Proposed Rules 10CFR170 & 171, FY91 & 92 Proposed Rule Implementing Us Court of Appeals Decision & Rev of Fee Schedules;100% Fee Recovery,FY93. Opposes Rule ML20101R5931992-07-0606 July 1992 Comment on Proposed Rule 10CFR50 Re Loss of All Alternating Current Power & Draft Reg Guide 1.9,task DG-1021.Opposes Rule ML20091Q8661992-01-31031 January 1992 Comment Opposing Draft NUREG-1022,Rev 1, Event Reporting Sys,10CFR50.72 & 50.73,Clarification of NRC Sys & Guidelines for Reporting ML20087F7471992-01-15015 January 1992 Comment Opposing Rev 1 of NUREG-1022, Event Reporting Sys ML20246J6571989-08-31031 August 1989 Order Imposing Civil Monetary Penalty on Licensee in Amount of $75,000 for Violations Noted in Insp on 881127-890204. Payment of Civil Penalty Requested within 30 Days of Order Date.Evaluations & Conclusions Encl ML20247J8921989-08-31031 August 1989 Order Imposing Civil Monetary Penalty in Amount of $75,000, Based on Violations Noted in Insp on 881127-890204,including Operation in Modes 1-4 W/One Independent Containment Air Return & Hydrogen Skimmer Sys Inoperable for 42 Days ML20205N1471988-10-20020 October 1988 Comment on Petition for Rulemaking PRM-50-50 Re Provision That Authorizes Nuclear Power Plant Operators to Deviate from Tech Specs During Emergency.Request by C Young Should Be Denied ML20234D2821987-09-15015 September 1987 Joint Intervenors Emergency Motion to Continue Hearing for 2 Wks & for Immediate Prehearing Conference.* Urges That Hearing Re Offsite Emergency Planning at Plant,Scheduled for 870928,be Continued Until 871013.Certificate of Svc Encl ML20198C5771986-05-14014 May 1986 Transcript of 860514 Discussion/Possible Vote on Full Power OL for Catawba 2 in Washington,Dc.Pp 1-86.Viewgraphs Encl ML20203N4561986-02-20020 February 1986 Unexecuted Amend 6 to Indemnity Agreement B-100,replacing Item 3 of Attachment to Agreement W/Listed Info ML20151P2231985-12-31031 December 1985 Order Extending Time Until 860110 for Commissioners to Review ALAB-825.Served on 851231 ML20136H7231985-11-21021 November 1985 Decision ALAB-825,affirming Remaining Part of ASLB OL Authorization,Permitting Applicant to Receive & Store Spent Fuel Generated at Duke Power Co Oconee & McGuire Nuclear Power Facilities.Served on 851121 ML20138B3611985-10-11011 October 1985 Order Extending Time Until 851025 for Commission to Act to Review ALAB-813.Served on 851011 ML20137W4311985-10-0202 October 1985 Order Extending Time Until 851011 for Commission to Act to Review ALAB-813.Served on 851003 ML20134N5761985-09-0404 September 1985 Order Extending Time Until 851004 for Commission to Act to Review ALAB-813.Served on 850904 ML20126M2091985-07-30030 July 1985 Order Amending First Paragraph of Footnote 126 Re Need for Power & Financial Qualifications in ALAB-813 . Served on 850731 ML20126K7701985-07-26026 July 1985 Order Extending Time Until 850730 for Commission to Act to Review Director'S Decision DD-85-9.Served on 850729 ML20129C2351985-07-26026 July 1985 Decision ALAB-813 Affirming Aslab Authorization of Issuance of Full Power Ol,Except Insofar as Receipt & Storage Onsite of Spent Fuel Generated at Other Facilities.Served on 850729 ML20129K1651985-07-19019 July 1985 Order Extending Time Until 850726 for Commission to Act to Review Director'S Decision DD-85-9.Served on 850719 ML20129H9361985-07-10010 July 1985 Unexecuted Amend 5 to Indemnity Agreement B-100,changing Items 1 & 3 of Attachment ML20128K2171985-07-0808 July 1985 Order Extending Time Until 850719 for Commission to Act to Review Director'S Decision DD-85-9.Served on 850709 ML20127P0991985-06-28028 June 1985 Transcript of 850628 Supplemental Oral Argument in Bethesda, Md.Pg 99-169 ML20133C5201985-06-26026 June 1985 Undated Testimony of PM Reep Re Welding Inspector Concerns. Rept of Verbal Harassment Encl ML20127K7171985-06-24024 June 1985 Order Extending Time Until 850709 for Commission to Act to Review Director'S Decision DD-85-9 ML20126K6391985-06-17017 June 1985 Order Advising That Counsel Be Familiar W/Content of Commission Request for Public Comment on Decision to Exercise Discretionary Price-Anderson Act Authority to Extend Govt Indemnity to Spent.... Served on 850618 ML20126B8101985-06-13013 June 1985 Order Scheduling Supplemental Oral Argument on Pending Appeals on 850628 in Bethesda,Md Re Public Notice of Hearing Concerning Use of Facility for Receipt & Storage of Spent Fuel from Oconee & Mcguire.Served on 850613 ML20126E4601985-06-13013 June 1985 Notice of Supplemental Oral Argument on Pending Appeals on 850628 in Bethesda,Md.Served on 850613 ML20125B4251985-06-0707 June 1985 Responds to Aslab 850603 Order Requesting Response to NRC 850529 Filing Re Whether Notice of Proposal to Use Catawba to Store Oconee & McGuire Spent Fuel Discretionary or Required.Certificate of Svc Encl ML20126A7631985-06-0404 June 1985 Director'S Decision DD-85-9 Granting & Denying in Part Palmetto Alliance Request for Mod,Suspension or Revocation of CPs for Facilities Due to Harassment & Intimidation of QC Inspectors ML20129A6381985-06-0303 June 1985 Order Allowing Applicant to File & Serve Response to NRC 850529 Assertion Re Storage of Spent Fuel Generated at Another Facility Constituting Use of Commercial Utilization Facility No Later than 850607.Served on 850604 ML20128P0001985-05-29029 May 1985 NRC Views on Whether Notice of Proposal to Use Facility to Store Oconee & McGuire Spent Fuel Required or Discretionary. Certificate of Svc Encl ML20128P1031985-05-29029 May 1985 Memorandum Responding to Palmetto Alliance/Carolina Environ Study Group & Staff 850517 Memoranda Asserting That Fr Notice Not Reasonably Calculated to Inform of Requests Re Spent Fuel.Certificate of Svc Encl ML20127K0231985-05-20020 May 1985 Order Extending Time Until 850529 for Aslab to Act to File & Svc Reply Memoranda.Served on 850521 ML20127G2281985-05-17017 May 1985 Memorandum Responding to 850425 Aslab Order Addressing Four Questions Re Receipt & Storage of Spent Fuel.Certificate of Svc Encl ML20127H0041985-05-17017 May 1985 Response to Aslab Questions on Adequacy of Notice of Proposed Use of Facility to Store Spent Fuel from Oconee & McGuire Facilities.Aslab Has No Jurisdiction Over Proposal. Certificate of Svc Encl 1998-09-08
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PPJ ATED CO.ldCnWDFAra UNITED STATES OF AMERICA ~
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NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD, m . 7, In the Matter of )
)
DUKE POWER COMPANY, et al. ) Docket Nos. 50-413
) 50-414 (Catawba Nuclear Station, )
Units 1 and 2) )
APPLICANTS' FIRST SET OF INTERROGATORIES TO CAROLINA ENVIRONMENTAL STUDY GROUP AND REQUESTS TO PRODUCE Pursuant to 10 CFR $$2.740b and 2.741, Duke Power Com-pany, et al. ( " Applicants") hereby serve Applicants ' First Set of Interrogatories and Requests to Produce upon Inter-venor, Carolina Environmental Study Group (CESG). These interrogatories involve CESG Contentions 13 and 17.
Each interrogatory shall be answered fully in writing, under oath or affirmation, and include all pertinent infor-mation known to CESG, its officers, directors or members as well as any pertinent information known to its employees, advisors or counsel. Each request to produce applies to pertinent documents which are in the possession, custody or control of CESG, its officers, directors or members as well as its employees, advisors or counsel. In answering each interrogatory and in responding to each request, place recite the interrogatory or request preceeding each answer or response. Also, please identify the person providing each answer or response.
These interrogatories and requests shall be contin-uing in nature. Thus, any time CESG obtains information 8204140216 820409 PDR ADOCK 05000413 PDR C
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which renders any previous response incorrect or indicates that a response was incorrect when made, CESG should supple-ment its previous response to the appropriate interrogatory or request to produce. CESG should also supplement its responses as necessary with respect to identification of each person expected to be called at the hearing as an expert witness, the subject matter of his or her testimony, and the substance of that testimony. Applicants are parti-cularly interested in the names and areas of expertise of CESG's witnesses, if any. Each identification of such witnesses is necessary if Applicants are to be afforded adequate time to depose them.
The term " documents" shall include any writings, draw-ings, graphs, charts, photographs, and other data compila-tions from which information can be obtained. We request that at a date or dates to be agreed upon, CESG make avail-able for inspection and copying, all documents subject to the requests set forth below.
REQUESTS FOR DOCUMENTS Pursuant to 10 CFR $2.741, Applicants request CESG by and through their attorneys, to make available for inspection and copying at a time and location to be designated, any and all documents, of whatsoever description, identified in the responses to the Applicants' interrogatories, below; including, but not limited to:
2 (1) any written record of any oral communication between or among Intervenors, their advisors, consultants, agents, attorneys, and/or any other persons, including but not limited to the NRC Staff, the Applicants, and their advisors, consultants, agents, attorneys and/or any other persons; and (2) any documents, correspondence, letter, memorandum, notes, diagrams, reports, charts, photographs, or any other writing of whatsoever description, including but not limited to work papers, prior drafts, and notes of meetings.
If CESG maintains some documents should not be made available for inspection, it should specify the documents and explain why such are not being made available. This request extends to any such document, described above, in the possession of CESG, its advisors, consultants, agents, or attorneys.
GENERAL INTERROGATORIES Pursuant to 10 CFR $2.740b, the Applicants request CESG, by and through its attorneys, to answer separately and fully in writing under oath or affirmation, by persons having knowledge of the information requested, the following interrogatories.
- -s I e A. General Interrogatories The following interrogatories apply severally to each of the contentions admitted as issues in controversy in this proceeding.
- 1. Please state the full name, address, occupation and employer of each person answering the interro-gatories and designate the interrogatory or the part thereof he or she answered.
- 2. Please identify each and every person whom you are considering to call as a witness at the hearing in this matter on this contention, and with respect to each such person, please:
- a. State the substance of the facts and opinions to which the witness is expected to testify;
- b. Give a summary of the grounds for each opinion; and
- c. Describe the witness' educational and professional j background.
- 3. Is the contention based on one or more calculations?
If so:
- a. Describe each calculation and identify any documents setting forth such calculation.
- b. Who performed each calculation?
- c. When was each calculation performed?
g,
- d. Describe each parameter used in such calcu-lation and each value assigned to the para-meter, and describe the source of your data.
- e. What are the results of each calculation?
- f. Explain in detail how each calculation provides a basis for the issue.
- 4. Is the contention based upon conversations, con-sultations, correspondence or any other type of communications with one or more individuals?
If so:
t
- a. Identify by name and address each such individual.
- b. State the educational and professional i background of each such individual, includ-ing occupation and institutional affiliations.
- c. Describe the nature of each communication
! with such individual, when it occurred, and identify all other individuals involved,
- d. Describe the information received from such s individuals and explain how it provides a i
basis for the issue.
- e. Identify each letter, memorandum, tape, note or other record related to each conversation, consultation, correspondence, or other com-munication with such individual.
3
-G-B. Specific Interrogatories CESG - Contention 13
- 1. What do you mean by the term " irregularities"?
- 2. Identify each and every " irregularity" which is the subject of this question.
- 3. For each " irregularity" identified in your response to Interrogatory 2, please specify the location, time of occurrence and person or persons who were involved.
- 4. When do you contend such " irregularities" occurred?
- 5. What do you contend was the cause of such " irregularities"?
- 6. What are your bases for your responses to Interrogator-les 1-57 Identify all documents, testimony or oral statements by any person and legal requirements on which you rely in support of your position.
- 7. What " welding practices" are the subject of this Contention and what person or persons do you contend engaged in such " welding practices"?
- 8. Specify when such " welding practices" occurred.
- 9. Where are the proper " welding practices" established?
- 10. Are the welding practices which are the subject of this Contention set forth in particular procedures?
- 11. If your response to Interrogatory 10 is in the affirma-tive, please specify the particular procedures which govern the " welding practices" which are the subject of this Contention.
m.
- 12. For each of the procedures identified in your response to Interrogatory 11, set forth the specific problems which you contend occurred.
- 13. Do you contend that the " welding practices" which are the subject of this Contention fail to comply with certain standards?
- 14. If your response to Interrogatory 13 is in the affirma-tive, please identify the particular standards which are the subject of this Contention.
- 15. For each of the standards identified in your response to Interrogatory 14, please specify the particular concern which you have concerning " welding practices". ,
- 16. What are your bases for your responses to Interrogator-ies 7 through 15? Identify all documents, testimony or oral statements by any person and legal requirements on which you rely in support of your position.
- 17. Identify each specific " safety related system" which is the subject of this Contention.
- 18. Specify the particular " welding practices" which you contend were performed on each of the " safety related systems" identified in your response to Interrogatory 17.
- 19. Specify for each of the " welding practices" associated with the " safety related systems" identified in your response to Interrogatory 18 the particular concerns which you have regarding the adequacy of such practices.
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- 20. For each of the concerns identified in your response to Interrogatory 19, specify the time at which such concerns (i.e., problem) occurred.
- 21. For each concern identified in your response to Interro-gatory 19, identify the person or persons who were involved and the situation giving rise to your concern.
- 22. For each concern identified in your response to Interro-gatory 19, specify the cause which you attribute to such concerns.
- 23. What are your bases for your responses to Interrogatories j 15 through 227 Identify all documents, testimony or oral statements by any person and legal requirements on which you rely in support of your position.
- 24. Do you contend that the Applicants have not identified all
" irregularities" in " welding practices" pursuant to their own inspection procedures?
- 25. If your response to Interrogatory 24 is in the affirmative, please specify the " irregularities" which you contend i
Applicants have not identified.
- 26. For each of the " irregularities" identified in your res-ponse to Interrogatory 25, answer each of the Interro-gatories 1-5 above if you have not already done so.
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- 27. If your response to Interrogatory 24 is in the negative, please specify precisely what your concern is with respect to " welding practices".
- 28. Do you contend that the NRC Staff has not identified the particular " welding practices" with which this Contention is concerned?
- 29. If your response to Interrogatory 28 is in the affirma-tive, please identify those instances of " welding practices" which you contend the NRC Staff does not identify.
- 30. For each of those instances " welding practices" identi-fled in your response to Interrogatory 29, please i answer Interrogatories 7 through 15 if you have not already done so for those particular practices.
- 31. If your response to Interrogatory 28 is in the negative, please explain exactly what your concern is with respect to " welding practices".
- 32. Do you contend that Applicants have not corrected all
" irregularities" in welding practices"? If so, please explain, identifying the areas of the plant here such welds remain uncorrected.
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- 33. What are your bases for your responses to Interrogator-ies 24 through 327 Identify all documents, testimony i
or oral statements by any person and legal requirements on which you rely in support of your position.
j
- 34. What do you mean by the term " endanger"?
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- 35. Specify the consequences which you allege will follow from each " irregularity" in " welding practices" which are the subject of this Contention.
- 36. For each of the consequences identified in your response to Interrogatory 35, specify the particular
" safety related system" involved in such a scenario.
- 37. Do you contend that the procedures applicable to welding at the Catawba facility are not in compliance with applicable NRC regulations?
- 38. If your response to any of the Interrogatory 37 is in the affirmative, please specify for your particular concern and specify the particular NRC requirements which you contend have not been satisfied.
- 39. What are your bases for your responses to Interrogator-ies 34 through 387 Identify all documents, testimony or oral statements by an person and legal requirements on which you rely in support of your position.
1 i CESG - Contention 17
- 1. What is the basis for this contention?
- 2. Please identify all documer,ts, testimony or oral statements by any pr;Non and legal requirements on which you rely in rapy e of your response to Inter-rogatory 1.
- 3. What are the " effects" of Corbicula which you contend will occur?
- 4. What do you contend are the consequences of the " effects"?
- 5. How do you contend such " effects" will affect "perfor-mance of the cooling tower system"?
- 6. What do you contend are the components of the " cooling tower system" which will be affected by Corbicula?
- 7. For each of the components identified in your response to Interrogatory 6, specify the particular "effect" which you contend Corbicula will have.
- 8. What are your bases for your responses to Interrogator-ies 3 through 77 Identify all documents, testimony or oral statements by any person and legal requirements on which you rely in support of your position.
- 9. Do you contend there are any " effects" which have an adverse impact on the environment?
- 10. If your response to Interrogatory 9 is in the affirma-tive, please specify all such " effects."
- 11. Do you contend that any " effects" identified in your response to Interrogatory 10 tip the cost-benefit balance against licensing?
- 12. If your response to Interrogatory 11, is in the affirma-tive, please specify precisely what the " costs" which you contend tip the environmental cost-benefit balance against operation.
- 13. What are your bases for your responses to Interroga-tories 8 through 127 Identify all documents, testimony
or oral statements by any person and legal requirements on which you rely in support of your position.
- 14. What is the extent of such infestation which you con-tend exists?
- 15. Do you contend such infestation is likely to extend to the Catawba site?
- 16. Do you contend that such " effects" will be detectable?
- 17. Do you contend that the " effects" of Corbicula are irreversible once they are detected?
- 18. If your response to Interrogatory 17 is in the affirma-tive, how do you explain that other facilities have adequately dealt with Corbicula?
- 19. If your response to Interrogatory 17 is in the nega-tive, what concerns can you have for "the performance of the cooling tower system."
- 20. What are your bases for your responses to Interroga-tories 13 through 187 Identify all documents, testimony
e or oral statements by any person and legal require-l ments on which you rely in support of your position.
Respectfully submitted,
/
/Y ~
- EBEVOISE&LIBERMANMichael McGarrf, III g/
.1200 Seventeenth Street, N.W.
Washington, D.C. 20036 (202) 857-9833 William L. Porter Albert V. Carr, Jr.
Ellen T. Ruff Duke Power Company P.O. Box 33189 Charlotte, North Carolina 28242 Attorneys for Duke Power Company, et al.
, April 9, 1982
i 4 EM DCOMNNMNS UNITED STATES OF AMERICA )
NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD b 12 AH :33 l
In the Matter of )
) :
DUKE POWER COMPANY, et al.
) Docket No.40-413
)40-414 (Catawba Nuclear Station, )
Units 1 and 2) )
CERTIFICATE OF SERVICE I hereby certify that copies of " Applicants' First Set of Interrogatories to Palmetto Alliance and Requests to Produce" and " Applicants' First Set of Interrogatories to Carolina Environ-mental Study Group and Requests to Produce" in the above captioned matters, have been served upon the following by deposit in the United States mail this 9th day of April, 1982.
James L. Kelly, Chairman George E. Johnson, Esq.
Atomic Safety and Licensing Office of the Executive Legal Board Panel Director U.S. Nuclear Regulatory U.S. Nuclear Regulatory Commission Commission Washington, D.C. 20555 Washington, D.C. 20555 Dr. A. Dixon Callihan William L. Porter, Esq.
Union Carbide Corporation Albert V. Carr, Jr., Esq.
P.O. Box Y Ellen T. Ruff, Esq.
Oak Ridge, Tennessee 37830 Duke Power Company P.O. Box 33189 Dr. Richard F. Foster Charlotte, North Carolina 28242 i P.O. Box 4263 Sunriver, Oregon 97701 Richard P. Wilson, Esq.
Assistant Attorney General Chairman State of South Carolina Atomic Safety and Licensing P.O. Box 11549 Board Panel Columbia, South Carolina 29211 U.S. Nuclear Regulatory Commission Robert Guild, Esq.
Washington, D.C. 20555 Attorney-at-Law 314 Pall Mall
{ Chairman Columbia, South Carolina 29201 l Atomic Safety and Licensing Appeal Board Palmetto Alliance U.S. Nuclear Regulatory 2135 1/2 Devine Street Commission Columbia, South Carolina 29205 Washington, D.C. 20555 l
o 1
l Jesse L. Riley Scott Stucky 854 Henley Place Docketing and Service Station Charlotte, North Carolina 28207 U.S. Nuclear Regulatory Commission Henry A. Presler Washington, D.C. 20555 Charlotte-Mecklenburg Environmental Coalition 943 Henley Place Charlotte, North Carolina 28207 J. Michael McGjit'rry, IgI 9
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