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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARJPN-99-029, Comment Supporting Proposed Rules 10CFR50 & 72 Re Reporting Requirement for Nuclear Power Reactors1999-09-20020 September 1999 Comment Supporting Proposed Rules 10CFR50 & 72 Re Reporting Requirement for Nuclear Power Reactors ML20212E4181999-09-15015 September 1999 Petition Per 10CFR2.206 Requesting OL for Unit 2 Be Modified or Suspended to Prevent Restart Until Reasonable Assurance That Licensee in Substantial Compliance with Terms of OL & Has Proper Consideration for Public Health & Safety JPN-99-022, Comment Supporting Proposed Rule 10CFR50 Re Requirements for Industry Codes & Stds1999-06-22022 June 1999 Comment Supporting Proposed Rule 10CFR50 Re Requirements for Industry Codes & Stds ML20202J6321999-01-20020 January 1999 Transcript of 990120 Meeting in Peekskill,Ny Re Decommissioning.Pp 1-132.With Related Documentation ML20198E9721998-12-21021 December 1998 Order Prohibiting Involvement in NRC-Licensed Activities. Orders That Wh Clark Prohibited for 1 Yr from Engaging in NRC-Licensed Activities JPN-98-052, Comment Supporting Proposed Rules 10CFR50,52 & 72 Re Changes,Tests & Experiments.Util Endorses & Supports Position Presented by NEI & Commends Commission for Initiative to Address Disconnects1998-12-21021 December 1998 Comment Supporting Proposed Rules 10CFR50,52 & 72 Re Changes,Tests & Experiments.Util Endorses & Supports Position Presented by NEI & Commends Commission for Initiative to Address Disconnects ML20198L2731998-12-21021 December 1998 Comment Supporting NEI Re Proposed Rules 10CFR50, 52 & 72 Re Changes,Tests & Experiments JPN-98-050, Comment on Proposed Rule 10CFR50 Re Monitoring Effectiveness of Maint at Nuclear Power Plants.Encourages NRC Staff to Withdraw Proposed Change & to Work with Nuclear Power Industry & Other Stakeholders to Accomplish Goal1998-12-14014 December 1998 Comment on Proposed Rule 10CFR50 Re Monitoring Effectiveness of Maint at Nuclear Power Plants.Encourages NRC Staff to Withdraw Proposed Change & to Work with Nuclear Power Industry & Other Stakeholders to Accomplish Goal ML20155F4561998-08-26026 August 1998 Demand for Info Re False Info Allegedly Provided by Wh Clark to Two NRC Licensees.Nrc Considering Whether Individual Should Be Prohibited from Working in NRC-licensed Activities for Period of 5 Yrs ML20238F5271998-05-20020 May 1998 Partially Deleted Transcript of 980520 Enforcement Conference in King of Prussia,Pa Re J Stipek.Pp 1-46 IA-98-261, Partially Deleted Transcript of 980520 Enforcement Conference in King of Prussia,Pa Re J Stipek.Pp 1-461998-05-20020 May 1998 Partially Deleted Transcript of 980520 Enforcement Conference in King of Prussia,Pa Re J Stipek.Pp 1-46 ML20238F5241998-05-0606 May 1998 Transcript of 980506 Enforcement Conference Held in King of Prussia,Pa Re Con Edison,Indian Point.Pp 1-75 JPN-97-037, Comment on Final Direct Rule Changes to Paragraph (H) of 10CFR50.55a Codes & Standards. Effective Date of New Rule Should Be Delayed Until Listed Concerns Can Be Resolved & Appropriate Changes Incorporated1997-12-0101 December 1997 Comment on Final Direct Rule Changes to Paragraph (H) of 10CFR50.55a Codes & Standards. Effective Date of New Rule Should Be Delayed Until Listed Concerns Can Be Resolved & Appropriate Changes Incorporated ML20148M6471997-06-19019 June 1997 Comment Opposing Porposed NRC Bulletin 96-001,suppl 1, CR Insertion Problems ML20133N0511997-01-0505 January 1997 Comment Opposing Proposed Rule 10CFR50, Draft Policy Statement on Resturcturing & Economic Deregulation of Electric Util Industry ML20149M4621996-12-0909 December 1996 Comment Opposing Proposed Rule 10CFR50 Re Draft Policy Statement on Restructuring & Economic Deregulation of Electric Utility Industry ML20077G3481994-12-0808 December 1994 Comment on Proposed Rule 10CFR2,51 & 54 Re Nuclear Power License Renewal ML20070P0561994-04-19019 April 1994 Comment Supporting Proposed Rule 10CFR50 Re NRC Draft Policy Statement on Use of Decommissioning Trust Funds Before Decommissioning Plan Approval ML20029C5771994-03-11011 March 1994 Comment on Proposed Rule 10CFR20 Re Draft Rule on Decommissioning.Informs That 15 Mrem/Yr Unreasonably Low Fraction of Icrp,Ncrp & Regulatory Public Dose Limit of 100 Mrem/Yr ML20059C3031993-12-28028 December 1993 Comment Supporting Petition for Rulemaking PRM-21-2 Re Definition of Commercial Grade Item ML20045H8751993-07-19019 July 1993 Comment on Proposed Rule 10CFR55 Re Exam Procedures for Operator Licensing.Supports Rule ML20045F2451993-06-28028 June 1993 Comment on Proposal Re Radiological Criteria for Decommissioning NRC-licensed Facilities.Opposes Proposed Criteria ML20044F5681993-05-20020 May 1993 Comment on Draft Commercial Grade Dedication Insp Procedure 38703,entitled Commercial Grade Procurement Insp. Endorses NUMARC Comments Dtd 930517 JPN-02-034, Comment Supporting Proposed Rule 10CFR50.54 Re Receipt of Byproduct & Special Nuclear Matl1992-07-0606 July 1992 Comment Supporting Proposed Rule 10CFR50.54 Re Receipt of Byproduct & Special Nuclear Matl JPN-91-021, Comment on Proposed Rules 10CFR71,170 & 171, Rev of Fee Schedules;100% Fee Recovery. Endorses NUMARC Comments. Approx 300% Increase in NRC Fees for FY91 Will Have Major Impact Upon Operating & Maint Budgets of Plants1991-05-13013 May 1991 Comment on Proposed Rules 10CFR71,170 & 171, Rev of Fee Schedules;100% Fee Recovery. Endorses NUMARC Comments. Approx 300% Increase in NRC Fees for FY91 Will Have Major Impact Upon Operating & Maint Budgets of Plants JPN-91-005, Comment Re SECY-90-347, Regulatory Impact Survey Rept. Util Concurs W/Numarc Comments.Analysis of Info from NUREG-1395 Insufficient to Complete Evaluation.Root Cause Analysis of Seven Themes Listed in SECY-90-347 Recommended1991-01-28028 January 1991 Comment Re SECY-90-347, Regulatory Impact Survey Rept. Util Concurs W/Numarc Comments.Analysis of Info from NUREG-1395 Insufficient to Complete Evaluation.Root Cause Analysis of Seven Themes Listed in SECY-90-347 Recommended ML20066G4411991-01-23023 January 1991 Comments on Proposed Rule 10CFR2,50 & 54 Re Nuclear Power Plant License Renewal.Substantive Typo in 901015 Filing on Behalf of Licensee Noted ML20058G6341990-10-30030 October 1990 Comment Opposing Proposed Rule 10CFR26 Re fitness-for-duty Program JPN-90-068, Comment Supporting Proposed Rule 10CFR51 Re Renewal of Nuclear Plant OLs & NRC Intent to Prepare Generic EIS1990-10-22022 October 1990 Comment Supporting Proposed Rule 10CFR51 Re Renewal of Nuclear Plant OLs & NRC Intent to Prepare Generic EIS JPN-90-067, Comment on Proposed Rules 10CFR2,50 & 54 Re Nuclear Power Plant License Renewal.Endorses Comments Submitted by NUMARC1990-10-15015 October 1990 Comment on Proposed Rules 10CFR2,50 & 54 Re Nuclear Power Plant License Renewal.Endorses Comments Submitted by NUMARC ML20065H7541990-10-15015 October 1990 Comment Re Proposed Rules 10CFR2,50 & 54 on Nuclear Power Plant License Renewal.Commission Assessment of Four Alternatives Should Be Expanded to Include Not Only Safety Considerations But Other Atomic Energy Act Objectives JPN-90-052, Comment Supporting Petition for Rulemaking PRM-50-55 Re Revs to FSAR1990-07-0909 July 1990 Comment Supporting Petition for Rulemaking PRM-50-55 Re Revs to FSAR JPN-90-050, Comment on Proposed Rule 10CFR55 Re Operators Licenses Mod for fitness-for-duty.Proposed Rule Will Place More Stringent Restrictions on Licensed Operators & Unnecessary1990-07-0202 July 1990 Comment on Proposed Rule 10CFR55 Re Operators Licenses Mod for fitness-for-duty.Proposed Rule Will Place More Stringent Restrictions on Licensed Operators & Unnecessary ML20012C6491990-03-0909 March 1990 Comment on Proposed Rule 10CFR50, Fracture Toughness Requirements for Protection Against PTS Events. Any Utilization of NRC Proposed Application of Reg Guide 1.99, Rev 2,would Be Inappropriate W/O re-evaluation by NRC ML20005F6521989-12-13013 December 1989 Comment on Proposed Draft Reg Guide DG-1001, Maint Programs for Nuclear Power Plants. Util Concurs w/industry-wide Position Presented by NUMARC & Offers Addl Comments ML20246P6061989-07-0707 July 1989 Comment Opposing Proposed Rule 10CFR50, Acceptance of Products Purchased for Use in Nuclear Power Plant Structures,Sys & Components. Significant & Independent Industry Efforts Already Underway to Address Issue ML20245K1941989-06-16016 June 1989 Comment on Proposed Rules 10CFR50,72 & 170 Re Storage of Spent Nuclear Fuel in NRC-Approved Storage Casks at Nuclear Power Reactor Sites JPN-89-008, Comment Opposing Proposed Rule 10CFR50 Re Ensuring Effectiveness of Maint Programs for Nuclear Power Plants1989-02-27027 February 1989 Comment Opposing Proposed Rule 10CFR50 Re Ensuring Effectiveness of Maint Programs for Nuclear Power Plants ML20235V9011989-02-24024 February 1989 Comment Opposing Proposed Rule 10CFR50 Re Ensuring Effectiveness of Maint Programs for Nuclear Power Plants. Supports NUMARC Position.Proposed Rule Will Hinder Important Initiatives to Improve Maint JPN-88-063, Comment on Proposed Rule 10CFR26 Re Fitness for Duty Program.Util Has Constitutional Concerns Re Proposed Random Testing Which Should Be Fully Addressed Prior to Rule Being Promulgated.Endorses NUMARC & EEI Comments1988-11-18018 November 1988 Comment on Proposed Rule 10CFR26 Re Fitness for Duty Program.Util Has Constitutional Concerns Re Proposed Random Testing Which Should Be Fully Addressed Prior to Rule Being Promulgated.Endorses NUMARC & EEI Comments ML20205L8521988-10-21021 October 1988 Comment Opposing Proposed Rule 10CFR20 Re Cleaning or Disposing of Nuclear Waste.Incineration of Radwaste Oil Should Not Be Allowed JPN-88-015, Comment Opposing Proposed Rule 10CFR50 Re Licensee Announcements of Inspectors.Rule Includes Requirement Contrary to Mgt Notification Practices.Rule Should Clarify Length of Time Applicable Once Inspector Arrives on Site1988-04-18018 April 1988 Comment Opposing Proposed Rule 10CFR50 Re Licensee Announcements of Inspectors.Rule Includes Requirement Contrary to Mgt Notification Practices.Rule Should Clarify Length of Time Applicable Once Inspector Arrives on Site JPN-88-002, Comment Supporting Proposed Rule 10CFR50 Re Proposed Policy Statement on Integrated Schedules for Implementation of Plant Mods.Concerns Re Schedule as License Amend Expressed1988-01-25025 January 1988 Comment Supporting Proposed Rule 10CFR50 Re Proposed Policy Statement on Integrated Schedules for Implementation of Plant Mods.Concerns Re Schedule as License Amend Expressed JPN-87-062, Comment on Proposed Rules 10CFR4,11,25,30,31,32,34,35,40,50, 60,61,70,71,73,74,75,95 & 110 Re Retention Period for Records.Proposed Changes Ineffective in Reducing Record Vol & Rule Remains Inconsistent & Complex1987-12-31031 December 1987 Comment on Proposed Rules 10CFR4,11,25,30,31,32,34,35,40,50, 60,61,70,71,73,74,75,95 & 110 Re Retention Period for Records.Proposed Changes Ineffective in Reducing Record Vol & Rule Remains Inconsistent & Complex JPN-87-053, Comment Supporting Proposed Rule 10CFR50 Re Revising Backfitting Process for Power Reactors.Minor Alterations Urged Re Conditions Under Which Backfit Needed to Assure Adequate Protection1987-10-15015 October 1987 Comment Supporting Proposed Rule 10CFR50 Re Revising Backfitting Process for Power Reactors.Minor Alterations Urged Re Conditions Under Which Backfit Needed to Assure Adequate Protection JPN-87-051, Comment Opposing Draft NUREG-1150, Reactor Risk Ref Document. Reduced Uncertainty in Risk Assessment Found to Be Significant W/Respect to NUREG-1150.NUREG Also Does Not Consider Value of Operator Actions.Addl Comments Encl1987-09-28028 September 1987 Comment Opposing Draft NUREG-1150, Reactor Risk Ref Document. Reduced Uncertainty in Risk Assessment Found to Be Significant W/Respect to NUREG-1150.NUREG Also Does Not Consider Value of Operator Actions.Addl Comments Encl ML20235Y9911987-07-20020 July 1987 Notice of Issuance of Director'S Decision Under 10CFR2.206 Re Emergency Planning for School Children in Vicinity of Indian Point.* Request to Suspend OLs Denied ML20151C5061987-02-18018 February 1987 Comment Opposing Proposed Rule 10CFR50 Re Licensing of Nuclear Power Plants Where State &/Or Local Govts Decline to Cooperate in Offsite Emergency Planning ML20093H6421984-10-15015 October 1984 Comments on Staff Presentation at Commission 841002 Meeting. Commission Should Conclude Proceedings Due to Inescapable Conclusion That Facility Safe to Operate & Poses No Undue Risk to Public.Certificate of Svc Encl ML20098D2721984-09-26026 September 1984 Comments on Commission 840905 Meeting Re Facilities,Per Sj Chilk 840911 Memo.Licensee Agrees W/Staff That Further Mitigative Features or Plant Shutdown Unnecessary Due to Low Risk.Certificate of Svc Encl 1999-09-20
[Table view] Category:PLEADINGS
MONTHYEARML20212E4181999-09-15015 September 1999 Petition Per 10CFR2.206 Requesting OL for Unit 2 Be Modified or Suspended to Prevent Restart Until Reasonable Assurance That Licensee in Substantial Compliance with Terms of OL & Has Proper Consideration for Public Health & Safety ML20094J7571984-08-13013 August 1984 Responses to 840730 Unpublished Order Directing NRC & Inviting Other Parties to Submit Views on Judge Gleason Dissent Re ASLB Recommendation Concerning Accident Probability.Certificate of Svc Encl ML20094J8781984-08-13013 August 1984 Response to Commission 840730 Order Permitting Comments from Parties Re Chairman Gleason Dissent to ASLB Recommendations to Commission.Certificate of Svc Encl ML20094J8971984-08-13013 August 1984 Comments on ASLB Chairman Gleason Dissent in Recommendations of Special Proceeding.Significant Risk Reduction Already Accomplished at Facility.Certificate of Svc Encl ML20084J8521984-05-0404 May 1984 Response Opposing New York Pirg (Nypirg) Petition for Suspension of Operation.Nypirg Fosters Discord Which Inhibits Coordination of Emergency Planning Efforts. Certificate of Svc Encl ML20088A4711984-04-0606 April 1984 Petition for Suspension of Operation to Relieve Unacceptable Risk to Area School Children.Issue of Emergency Planning for Schools Must Be Resolved.Certificate of Svc Encl ML20024C3731983-07-0707 July 1983 Memorandum Opposing Pirg of New York Motion for Reconsideration of Commission 830610 Order.Pirg Should Not Be Permitted to Relitigate Arguments Fully Considered & Ruled Upon by Commission ML20024C3761983-07-0707 July 1983 Response Opposing Pirg of New York Motion for Reconsideration of Commission 830610 Order.Motion Untimely, Identifies No Matters of Fact or Law & Improperly Raises New Issues.Certificate of Svc Encl ML20072E8211983-06-23023 June 1983 Response Supporting Pirg of Ny Motion for Reconsideration of Commission 830609 Decision,Permitting Facility Operation W/O Restriction Despite Continued Noncompliance W/Emergency Planning Requirements.Certificate of Svc Encl ML20072D6241983-06-22022 June 1983 Motion for Immediate Reconsideration of Commission 830610 Order CLI-83-16 Permitting Continued Plant Operation. Commission Did Not Consider Current Status of Emergency Planning in Decision.Certificate of Svc Encl ML20072H5781983-06-22022 June 1983 Request 2-wk Extension to File Findings of Fact for Commission Questions 3 & 4.Atty Familiar W/Case Resigned ML20072E8241983-06-22022 June 1983 Answer Opposing Intervenor Motion for Extension of Time to Submit Proposed Findings.Motion Is Attempt to Delay Hearings.If Intervenor Motion Granted,Exemption Should Apply to All Parties.Certificate of Svc Encl ML20072D6291983-06-21021 June 1983 Motion for Extension Until 830711 to File Proposed Findings of Fact.Time Needed Since Intervenors Filing Consolidated Findings & One Atty Suffered Death in Family. Certificate of Svc Encl ML20071P3111983-06-0303 June 1983 Response Opposing Friends of the Earth/New York City Audubon Soc Request to File I Levi Affidavit.Testimony by Affidavit Improper Since No cross-examination Possible.Certificate of Svc Encl ML20071L5421983-05-24024 May 1983 Response Opposing Licensee Motion for Reconsideration of ASLB Denial of Licensee Motion to Admit Dp McGuire Testimony Before Trial ML20023D9341983-05-20020 May 1983 Response Opposing Util 830509 Motion for Reconsideration. Deposition Inadmissible as Evidence Under Federal Rules ML20071G9761983-05-20020 May 1983 Motion for Leave to Submit Written Comments on NRC 830505 Order to Suspend Facility Operations.Deficiencies Determined to Be Significant by FEMA Are Not Sufficiently Deficient to Require Suspending Operations ML20023D0941983-05-13013 May 1983 Motion for Opportunity to Address Issues Outlined in Commission 830505 Order CLI-83-11 Establishing Procedures for Decision on Enforcement Action.Intervenor Entitled to Participate as Matter of Right.Certificate of Svc Encl ML20074A4541983-05-11011 May 1983 Motion for Extension of Deadline (to 830615) for Filing Corrections to Transcripts & Deadline (to 830624) for Filing Comments.Certificate of Svc Encl ML20074A4461983-05-0909 May 1983 Motion for Reconsideration of Ruling Denying Licensee Motion to Receive Dp McGuire Deposition Transcript Into Evidence. Licensees Entitled to Place Deposition in Record. Certificate of Svc Encl ML20073S8781983-05-0909 May 1983 Motion for Opportunity to Address Issues Outlined in Commission 830505 Order CLI-83-11,establishing Procedures for Decision on Enforcement Action on Emergency Planning Issues.Certificate of Svc Encl ML20073S8801983-05-0606 May 1983 Motion for Extension of Deadline Until 830627 for All Parties to Submit Proposed Opinion,Findings of Fact & Recommendations Re Enforcement Action on Emergency Planning Issues.Certificate of Svc Encl ML20204G2681983-04-27027 April 1983 Motion to Amend Svc List to Add Sp Wasserman & Delete P Chessin,Lr Schwartz & M Oppel.Notice of Appearance & Certificate of Svc Encl ML20073R3471983-04-26026 April 1983 Motion Requesting Initiation of Studies on Human Response to Radiological Emergencies,Risks to Individuals Living Near Site & Difficulty of Evacuation in Emergency ML20073R3531983-04-25025 April 1983 Motion Requesting Completeness of Record on NRC Questions 3 & 4 Re Emergency Planning Issues,Including Capability for Handling Phone Calls in Emergency Planning Zone During Emergency ML20069L1181983-04-22022 April 1983 Motion to Strike Selected Intervenor Testimony Re 830309 Emergency Exercise.Testimony Cumulative,Repetitive, Conclusory,Lacks Adequate Foundation & Irrelevant. Certificate of Svc Encl.Related Correspondence ML20069L2131983-04-22022 April 1983 Motion for Admission Into Evidence of EPZ Tour Documents, Exhibits CE-11,CE-11A & CE-11B ML20204G3251983-04-22022 April 1983 Motion to Strike Portions of 830309 Emergency Drill Testimony Under Commission Questions 3 & 4 Filed by Witnesses for Various Intervenors.Certificate of Svc Encl.Related Correspondence ML20069K6031983-04-20020 April 1983 Motion to Compel Deposition of FEMA Witnesses P Mcintire, J Keller,R Kowieski & RW Krimm & to Preclude Witnesses from Presenting Testimony at 830426-29 Hearings Outside Scope of 830309 Exercise.W/Certificate of Svc ML20073G0351983-04-12012 April 1983 Motion for Approval of Encl Stipulation Re Intervenor Observation of 830309 Radiological Preparedness Exercise ML20073G1271983-04-12012 April 1983 Motion for Extension to Submit Testimony on Contention 6.2. Expert Witnesses a Stewart,B Brazelton & D Bohning Will Not Be Able to Testify Until Late May 1983.Findings of Fact Should Be Due 10 Days After Testimony.W/Certificate of Svc ML20073G1461983-04-11011 April 1983 Further Response in Opposition to Licensee 830407 Motion to Impose Sanctions.Motion Unrelated to Discovery.Draft Testimony Privilege Not Waived by Submitting Testimony Early.Certificate of Svc Encl ML20073B7361983-04-0707 April 1983 Further Suppl to Motion to Impose Sanctions on Greater New York Council on Energy.Komanoff Comments on Study & Aug-Sept 1982 Version of Study Must Be Produced.Use of Oct 1982 Study Should Be Precluded.W/Certificate of Svc ML20073L6361983-04-0707 April 1983 Further Suppl to Motion to Impose Sanctions on Greater New York Council on Energy,D Corren & Energy Sys Research Group, Inc.Depositions & Ltr Support Conclusions of Intentional Frustration of Util Discovery Rights.W/Certificate of Svc ML20072R7441983-04-0101 April 1983 Response to New York Pirg 830329 Motion for Order Requiring Production of Documents Re 830309 Emergency Planning Exercise.Exercise Evaluations Sought Should Be Regarded as Privileged.Certificate of Svc Encl ML20073C6581983-04-0101 April 1983 Motion for Submission,Under Commission Question 5,of Bl Cohen 830124 Testimony on Commission Question 1.ASLB Refused to Admit Testimony Under Question 1 But Testimony Is Relevant to Question 5.Certificate of Svc Encl ML20072N2641983-03-25025 March 1983 Response Opposing Licensee Motion for Sanctions Against D Corren,Greater New York Council on Energy & Esrg,Inc. Council Did Not Intentionally Withhold Discoverable Matls. Clarifies Misunderstandings.Certificate of Svc Encl ML20069H5671983-03-24024 March 1983 Response to Licensee Motion to Compel Under Commission Question 6.Resources Unavailable to Develop Study on Health Effects.Parents Concerned About Indian Point Does Not Bear Burden of Proof.W/Certificate of Svc.Related Correspondence ML20072K0991983-03-23023 March 1983 Suppl to Motion to Impose Sanctions Against D Corren,Greater Ny Council on Energy & Energy Sys Research Group,Inc for Failure to Produce Oct 1982 Study, Economics of Closing Indian Point Nuclear Power Plants. Related Correspondence ML20072L4521983-03-21021 March 1983 Motion to Strike Portions of Testimony of Some Rockland County Witnesses on Questions 3 & 4.Testimony Conclusory & W/O Supporting Factual Basis.Foundation Does Not Exist for Factual Matl Introduction.Certificate of Svc Encl ML20069F5191983-03-18018 March 1983 Motion for Time to Present Evidence Re 830309 Radiological Emergency Response Planning Exercise.Presentation Needed to Complete Record.Certificate of Svc Encl ML20069F4861983-03-17017 March 1983 Motion to Impose Sanctions Against D Corren & R Rosen of Greater Ny Council on Energy & Energy Sys Research Group,Inc for Failure to Respond to Interrogatories.Certificate of Svc Encl ML20069B8281983-03-14014 March 1983 Motion to Strike Certain Intervenor Prefiled Testimony Under Commission Questions 3 & 4 Re Emergency Planning Filed on 830311.Licensees Denied Any Meaningful Right to Discovery from Witnesses.Certificate of Svc Encl ML20069D0141983-03-14014 March 1983 Response Opposing Licensee Motion to Compel Greater Ny Council on Energy Further Response to Interrogatories.Motion Inappropriate & Unnecessary.Interrogatories Were Unclear & Burdensome.Certificate of Svc Encl ML20069C9481983-03-14014 March 1983 Answer Opposing PASNY Motion to Strike KT Erikson Testimony. Testimony Relevant to Contentions 3.2 & 3.7 & Is Based on Erikson Personal Knowledge ML20069D0871983-03-14014 March 1983 Motion for Waiver of Requirement to Distribute Indian Point 3 Emergency Plan & Emergency Planning Implementation Procedures Document to All Parties.Plans Are Voluminous & Expensive to Produce ML20069D1441983-03-14014 March 1983 Motion to Compel West Branch Conservation Assoc & Parents Concerned About Indian Point Further Responses to Licensee First Set of Interrogatories Under Commission Question 6.W/ Certificate of Svc.Related Correspondence ML20069D0491983-03-14014 March 1983 Motion to Strike Selected Intervenor Testimony.Objects to Intervenor 830311 Witness List for Commission Questions 3 & 4,presenting 99 Witnesses in 5 Days.Testimony Is Cumulative, Conclusory,Hearsay or W/O Foundation.W/Certificate of Svc ML20071F0001983-03-11011 March 1983 Motion to Amend Svc List to Include AP O'Rourke,New Westchester County Executive.Certificate of Svc Encl ML20071E5321983-03-0909 March 1983 Response Opposing Intervenor 830228 Motion for Extension of Deadlines to Complete Record on Emergency Planning Issues in Commission Questions 3 & 4.ASLB Resolved Scheduling Question.Certificate of Svc Encl 1999-09-15
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U!IITED STATES OF AMERICA T M50
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ITUCLEAR REGULATORY COMMISSIO!I ATCliIC SAFETY A!!D LICE!!SIIIG BOARD-Defore Administrative Judges:
.g g' ; -4 N0 :30 Lou i s . J . Carter, Chairman .
Frederick J. Shon C l' . -1 Dr. Oscar II. Paris
--~~-------~~-------~~-----~~~----------~~x In.the Matter of ) Docket Hoe.
CCI!SCLIDATED EDISCII COtiPAMY CF 11EU Y0nn, ) 50-247 SP IllC. (Indian Point, Unit I;o. 2) 50-286 SP:
)
POCER AUTilORITY OF TI E STATE OF !!EU YORK Nay 31, 1982 (Indian Point, Unit !!o, 3) )
x LIC E!!S EES ' A!! SUER TO UCS/I1YPIRC t'OTIOt1 TO CCt1PEL DISCOVERY Consolidated Edison Company of IIew York, Inc. ("Cen Edison"), licensee of Indian Point Station, Unit *:o. 2, and-Pouer Authority of the State of IIeu York, licensee of Indian Point 3 Iluclear Fouer Plant (collectively the " licensees"),
submit this nenorandun, pursuant to 10 CFR 42.730(c), in opposition to the motion served on the licensees on the
- af ternoon of *:ay 28 - hours before the close of business on the last business day before the close of discovery - by joint 950$ $
I l' r
hhk6070532820531 i O ADOCK 05000247 PDR
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intervenors Union of Concerned Scientists and the New York Public Interest Research Group, Inc. ("UCS/UYPIRG") to compel depositions of Dr. Russell R. Dynes, Dr. Sidney Lecker,.and three employees of Parsons Drinckerhoff Quade & Douglas Inc.
(the " Parsons Brinckerhoff witnesses"), all of whom licensees intend to present as witnesses at the-hearings. UCS/NYPIRG's motion should be denied for the following reasons.
(1) UCS/NYPIRG's request is not in compliance with the Commission's rules or this Board's orders regarding discovery.
10 C.F.R. S2.740a(a) requires that reasonable written notice of a deposition be given to all parties. Herein, UCS/NYPIRG first gave oral notice of their request at approximately 4 P.M. on May 24 -- four working days before the close of discovery established by the Board. At no prior point, including the extensive discussion of discovery at the prehearing conference on April 13-14, did UCS/UYPIRG indicate an intention to take deposition testinony herein.* Correspondingly no provision for At the April 13 prehearing conference, licensee Con Edison reiterated its earlier' statement to the Board that the Parsons Brinckerhof f uitnesses would testify (Tr.- 656) .
The taking of depositions was not included in the proposed schedules submitted to this Board. See, e.g., UCS-UYPIRG Prehearing Memorandum and Proposed Order at 7-8 ( De c . 1, 1981); UCSPAC's Prehearing Menorandun and Response to Staff and Utility Answers to Petitions for Leave to Intervene at 3 ( Dec . 1, 1981) (Concurring with UCS/MYPIRG's general approach); HRC Staff Prehearing Conference Memorandum and Proposed Order at 7-8 (Mov. 27, 1981).
h
such discovery and the scheduling changes that would be required was included in the Board's April 23, 1982 order.
- Uhile UCS/NYPIRG is not in compliance with the requirement of reason-able written notice of 10 C.F.R. Part 2, this Board's order would in any event bar the taking of depositions since "thic agency's Rules of Practice provide that discovery may be
' 'limited by order,' or may 'not be had,' or even 'nay be had only by a nethod of discovery other than that selected by the party seeking discovery.'" Northern Indiana Public Service Co.
(Bailly Generating Station, Nuclear 1), 2 N.R.C. 858, 870 (1975).
Contrary to the sonewhat less than fcrthcoming characteriza-tion presented by UCS/UYPIRG, Power Authority counsel Mr.
Levin advised UCS/NYPIRG counsel Mr. Blun on May 25 that it was on this basis that licensees wou;d not produce uitnesses for deposition. As Mr. Levin pointed out to Mr. Blum on this occasion, had UCS/NYPIRG raised the subject of deposi-tions at the April 13-14 conference, a different discovery schedule would have been adopted reflecting the time needed to prepare for and take depositions.
Moreover, at no time following Mr. Levin's May 25 notice to Mr. Blun did UCS/NYPIRG notify Mr. Levin or any other representative of the Power Authority that an oral or written notion would be presented to the Board. Indeed, Mr. Levin's first hint that such a notion night be filed was gained purely by chance as a result of a telephone call Thursday afternoon from Puth-Ann Miller, Clerk to the Board.
E
I i
(2) UCS/NYPIRG's failure to give the required notice is particularly prejudicial in the circumstances of this expedited hearing. Both the witnesses UCS/MYPIRG' seeks to depose and counsel for the licensees are fully engaged in responding to intervenors' interrogatories and preparing the witnesses' direct testimony. Since the commencement of discovery herein, the licensees have responded to cver 130 interrogatories posed by the intervenors. (This contrasts with the failure of the intervenors, including UCS/NYPIRG, to make any neaningful response to the licensees' interrogatories.) To now require licensees' witnesses and counsel to take the substantial additional time to prepare for and attend depositions would severely inpair licensees' ability to meet the June 7 deadline set by the Board for the filing of direct testimony. See United States v. 412.93 Acres of Land, 455 F.2d 1242, 1246 (3d Cir. 1972) (deposition subpoena quashed because it would unduly delay trial).
(3) There is no necessity for the deposition testimony sought by UCS/NYPIRG. UCS/NYPIRC has not made any showing of special circumstances which would relieve it of the requirenents of the Commission's ru;3s or the Board's order. See also Fed. R.
Civ. P. 26(b)(4)(A)(ii) (deposition testinony from expert witnesses pernitted only upon court order). The licensees have provided in their interrogatory answers extensive information regarding the b
witnesses, including the subject matter of their testimony, the t grounds for their opinions, and lists of publications (licensees' answer to UCS/UYPIRG interrogatory no. 1). Further, when required by UCS/UYPIRG's instructions to its interrogatories, licensees have identified those instances in which the licensees' witnesses contributed to the licensees' interrogatory answers. As the Appeal Board stated in Northern Indiana Public Service Company (Dailly Generating Station, nuclear 1) 2 U.R.C. 858, 869 (1975):
... It is true, . . . that Joint Intervenors were not permitted to depose the witnesses.
But this was not prejudicial "because those from whon depositions were sought appeared as witnesses at the hearing and were thus made available to cross-exanination by the party seeking discovery ," U. L'. R. B. v. Interboro Con-tractors, Inc., 432 F.2d 854, 860 (2nd Cir. 1970),
certiorari denied, 402 U.S. 915 (1971). Accord:
U.L.R.B. v. Miami Coca-Cola Bottling Company, 432 F.2d 994, 996-97 (5th Cir. 1968); U.L.R.D.
- v. Safeway Steel Scaffolds Company, 383 F.2d 273 (5th Cir. 1967).
The proposed depositions herein would nct contribute in any manner to the ef ficient conduct of the hearings. Licensees' extensive discovery responses to date have already fulfilled l
l the principal purpose of discovery: to avoid surprise at the
! hearings. Depositions would only impede accomplishment of the schedu'.e set by the Board.
(4) To the extent a basis for 'JCS/MYPIRG's notion l
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can be discerned from its noving papers, it appears to be that UCS/MYPIRG considers licensees' interrogatory ansvers to be, in sone vague sense, inadequate. If this is in fact UCS/UYPIRG's argument, the remedy provided under the Connission's rules is a notion pursuant to 10 C.F.R. S2.740(f) directed to the allegedly defective interrogatory ansvers, not a request for deposition testinony. UCS/UYPIRG has not made such a notion.*
The completeness of licensees' interrogatory answers is apparent when these answers are compared to UCS/UYPIRG's answer to licensees' interrogatory regarding UCS/NYPIRG's witnesses, ** which entirely fail to specify (1) the
- Moreover, nowhere has UCS/NYPIRG stated that the absence of d2 positions will prejudice its preparation for the hearings in any way, nor has UCS/UYPIRG set forth any_information clained to be needed which was not supplied in licensees' extensive interrogatory responses.
- Licensees posed the following interrogatory:
Iden ti f y :
(a) each person whom you expect to call as a witness at the evidentiary hearings relating to Commission Questions 3 and 4...
(b) the subject matter and board contention i and underlying intervenor contention on which the witness is expected to testify; (c) the substance of the facts and opinions to which the witness is expected to testify and a sunnary of the grounds for each opinion;
[ footnote continued on next page]
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subject matter on which its witnesses are to testify; (2) the substance of the facts and opinions to which the witnesses are to testify; (3) a sunnary of the grounds for such opinions; and (4) any proceeding in which its witnesses have previously
[ footnote continued from previous page]
(d) each document...upon which the witness has based his testimony, or.will so rely at the hearing, or will otherwise refer to in support of his. testimony; (e) any relationship between the witness and any intervenor or party therein; and (f) any proceeding in which the witness has pre-viously testified and the transcript pages of such testinony...
UCS/UYPIRG's response to this interrogatory was:
Jan Beyea and Brian Palenik: Board Contentions 3.6, 4.1, and 4.3 and intervenor contentions referenced thereunder. Biographical information and list of documents attached as Appendix A. Pages of previous testimony unknown.
Kai Erikson: Board Contentions 3.2 and 3.7 and interve-nor contentions referenced thereunder. Biographical information and list of documents attached as Appendix B. Pages following page 12407 of testimony at San Luis Obispo, California, to be found in the NRC Public Eocument Rocn. Pages of other previous testimony unknown.
(e) No relationship.
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1 testified.* Thus, licensees, despite having posed proper interrogatories (see Fed. R. Civ. P. 26(b)(4)(A)(i)), have no knowledge of the subject matter or the grounds for the testimony of the UCS/NYPIRG witnesses. In contrast, licensees have specified the subject matter and grounds for the testimony of their witnesses.
For the above reasons , UCS/UYPIRG's untinely i
request to take depositions should be denied. However, in the event UCS/NYPIRG's request is granted, licensees request that those individuals identified as UCS/NYPIRG's witnesses, including Jan Deyea, Brian Palenik, and Kai Erickson, be produced sinultaneously with licensees' witnesses for de' positions.
I UHEREFORE, the licensees respectfully urge that UCS/MYPIRG's Motion to Compel Discovery be denied in all j respects, i
- UCS/NYPIRG disingenuously asserts that the pages of its i witnesses' prior testimony are " unknown." He doubt that the names of the proceedings in which its witnesses previously
- testified (also called for by the interrogatory) are " unknown."
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Respectfully submitted, Akab
- Bren't L. Branaenbur_ _ Charles Morgan [fJr.'
Paul F. Colaruni Joseph J. Levin, Jr.
CONSOLIDATED EDISON COMPANY MORGAN ASSOCIATES, CHARTERED OF NEW YORK, INC. 1899 L Street, N.W.
Licensee of Indian Point Washing ton , D.C. 20036 Unit 2 (202) 465-7000 4 Irving Place New York, New York 10003 (212) 460-4600 Thomas R. Frey General Counsel Charles M. Pratt Assistant General Counsel POWER AUTHORITY OF THE STATE OF NEW YORK Licensee of Indian Point Unit 3 10 Columbus Circle New York, New York 10019 (212) 397-6200 l Bernard D. Fischman l Michael Curley Richard F. Czaja l David H. Pikus l
SHEA & GOULD 330 Madison Avenue New York, New York 10017 l
(212) 370-8000 Dated: May 31, 1982 l
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UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION ATOMIC SAFETY AND LICENSING BOARD Before Administrative Judges:
Louis J. Carter, Chairman Frederick J. Shon Dr. Oscar H. Paris
)
In the Matter of ) Docket Nos.
)
CONEOLIDATED EDISON COMPANY OF NEW YORK, ) 50-247 SP INC. (Indian Point, Unit No. 2) ) 50-286 SP POWER AUTHORITY OF THE STATE OF NEW YORK )
(Indian Point, Unit No. 3) ) May 31, 1982
)
CERTIFICATE OF SERVICE I hereby certify that copies of LICENSEES' ANSWER TO UCS/NYPIRG MOTION TO COMPEL DISCOVERY in the above-captioned proceeding have been served on the following by deposit in the United States mail, first class, this 31st day of May, 1982.
Docketing and Service Branch Ellyn R. Weiss, Esq.
Office of the Secretary William S. Jordan, III, Esq.
U. S. Nuclear Regulatory Harmon & Weiss Commission 1725 I Street, N.W., Suite 506 Washington, D.C. 20555 Washington, D.C. 20006 Louis J. Carter, Esq., Chairman
- Joan Holt, Project Director
- Administrative Judge Indian Point Project Atomic Safety and Licensing New York Public Interest Board Research Group 7300 City Line Avenue 5 Beekman Street Philadelphia, Pennsylvania 19151 New York, N.Y. 10038 L
Dr. Oscar H. Paris
- John Gilroy, Westchester Administrative Judge Coordinator Atomic Safety and Licensing Indian Point Project i
U.S. Nuclear Regulatory New York Public Interest Commission Research Group Washington, D.C. 20555 240 Central Avenue White Plains, New York 10606 Mr. Frederick J. Shon* Janice Moore, Esq.
Administrative Judge Counsel for NRC Staff Atomic Safety and Licensing Office of the Executive Board Legal Director
,U.S. Nuclear Regulatory U.S. Nuclear Regulatory Commission Commission Washington, D.C. 20555 Washington, D.C. 20555 Jeffrey M. Blum, Esq.* Brent L. Brandenburg, Esq.
New York University Law Assistant General Counsel School Consolidated Edison Co.
423 Vanderbilt Hall of New York, Inc.
40 Washington Square South 4 Irving Place New York, N.Y. 10012 New York, N.Y. 10003 Marc L. Parris, Esq. Charles J. Malkish, Esq.
Eric Thorson, Esq. Litigation Division County Attorney The Port Authority of County of Rockland New York and New Jersey 11 New Hemstead Road One World Trade Center New City, N.Y. 10956 New York, N.Y. 10048 Ezra I. Bialik, Esq.
Joan Miles Steve Leipsiz, Esq.
Indian Point Coordinator Enviromental Protection Bureau New York City Audubon Society New York State Attorney 71 West 23rd Street, Suite 1828 General's Office New York, N.Y. 10010 Two World Trade Center New York, N.Y. 10047 Greater New York Council on Alfred B. Del Bello Energy Westchester County Executive c/o Dean R. Corren, Westchester County Director 148 Martine Avenue New York University White Plains, N.Y. 10601 26 Stuyvesant Street New York, N.Y. 10003 L
l Atomic Safety and Licensing Atomic Safety and Licensing Board Panel Appeal Board Panel U.S. Nuclear Regulatory U.S. Nuclear Regulatory
) Commission Commission Washington, D.C. 20555 Washington, D.C. 20555 Andrew S. Roffe, Esq. Honorable Richard L. Brodsky New York State Assembly Member of the County Albany, N.Y. 12248 Legislature Westchester County County Office Building White Plains, N.Y. 10601 Renee Schwartz, Esq. Pat Posner, Spokesperson Paul Chessin, Esq. Parents Concerned About Laurens R. Schwartz, Esq. Indian Point Margaret Oppel, Esq. P.O. Box 125 Botein, Hays, Sklar & Herzberg Croton-on-Hudson, N.Y. 10520 200 Park Avenue New York, N.Y. 10166 Stanley B. Klimberg Charles A. Scheiner, Co-General Counsel Chairperson New York State Energy Office Westchester People's Action 2 Rockefeller State Plaza Coalition, Inc.
Albany, New York 12223 P.O. Box 488 White Plains, N.Y. 10602 Honorable Ruth Messinger Alan Latman, Esq.
Member of the Council of the 44 Sunset Drive City of New York Croton-on-Hudson, N.Y. 10520 District No. 4 City Hall New York, New York 10007 Richard M. Hartzman, Esq. Zipporah S. Fleisher Lorna Salzman West Branch Conservation Friends of the Earth, Inc. Association 208 West 13th Street 443 Buena Vista Road New York, N.Y. 10011 New City, N.Y. 10956 L
Mayor George V. Begany Judith Kessler, Coordinator Village of Buchanan Rockland Citizens for Safe 236 Tate Avenue Energy Buchanan, N.Y. 10511 300 New Hempstead Road New City, N.Y. 10956 Ms. Amanda Potterfield, Esq.*
P.O. Box 384 Village Station New York, New York 10014 A '
David H.~ IhfD s~
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l Copies will also be served by hand delivery on the morning of June 1, 1982.
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