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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20207E0051999-03-0202 March 1999 Transcript of 990302 Public Meeting with Commonwealth Edison in Rockville,Md.Pp 1-104.Supporting Documentation Encl ML20236H9381998-06-30030 June 1998 Transcript of 980630 Meeting W/Commonwealth Edison in Rockville,Md.Pp 1-123.Supporting Documentation Encl ML20198P3001997-11-0404 November 1997 Transcript of 971104 Public Meeting W/Ceco in Rockville,Md Re Measures Established by Ceco to Track Plant Performance & to Gain Understanding of CAs Put Into Place to Improve Safety.Pp 1-105.W/Certificate & Viewgraphs ML20149M2951996-11-29029 November 1996 Exemption from Requirements of 10CFR50.60 Re Safety Margins Recommended in ASME Boiler & Pressure Vessel Code Case N-514 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 ML20059C2351993-12-17017 December 1993 Comment Supporting Petition for Rulemaking PRM-21-2 Re Commercial Grade Item Dedication ML20044A8111990-06-27027 June 1990 Comment Opposing Closure of Lpdr of Rockford Public Library ML20245J0191989-04-14014 April 1989 Comment Re Proposed Rule 10CFR50 Re Ensuring Effectiveness of Maint Programs for Nuclear Power Plants ML20214X1871987-06-11011 June 1987 Order Imposing Civil Monetary Penalty in Amount of $25,000 Based on Four Severity Level III Violations Noted During 860721-0808 Insp ML20205Q1711987-04-0202 April 1987 Order Imposing Civil Monetary Penalty in Amount of $25,000. App Re Evaluations & Conclusions Encl IR 05000812/20100311987-02-26026 February 1987 Order Imposing Civil Monetary Penalty in Amount of $100,000 Based on Violations Noted During Insps on 850812-1031 ML20210T7321987-02-11011 February 1987 Unexecuted Amend 6 to Indemnity Agreement B-97 Substituting Item 3 of Attachment to Indemnity Agreement in Entirety W/ Listed License Numbers,Effective 870130 ML20209J3251987-01-30030 January 1987 Transcript of 870130 Commission Discussion/Possible Vote on Full Power OL for Facility.Pp 1-72.Supporting Viewgraphs Encl ML20213G4381986-10-24024 October 1986 Unexecuted Amend 5 to Indemnity Agreement B-97,substituting Item 3 of Attachment to Agreement in Entirety W/Listed License Numbers,Effective on 861106 ML20211B0841986-08-0505 August 1986 Transcript of 860805 Meeting Between Region Iii,Computer Interference Elimination & Util in Redmond,Wa Re Plant as-built Drawing Review.Pp 1-200 IR 05000506/20070221986-05-0202 May 1986 Order Imposing Civil Monetary Penalty in Amount of $25,000 for Violations Noted During Insp on 850506-0722.Violations Noted:Failure to Establish Radiological Safety Procedures & to Adequately Train Personnel ML20138C7301985-12-0909 December 1985 Order Imposing Civil Penalty in Amount of $25,000 Per 850606 Notice of Violation & Proposed Imposition of Civil Penalty.Licensee May Request Hearing within 30 Days of Date of Order ML20205E8741985-10-28028 October 1985 Exemption from GDC 4 of 10CFR50,App a Requirement to Install Protective Devices Associated W/Postulated Pipe Breaks Primary Coolant Sys.Topical Rept Evaluation Encl ML20102A2981985-01-0707 January 1985 Petition Requesting Aslab Grant Intervenor Appeal & Order Further Hearings on Safety of Plant ML20099L2581984-11-27027 November 1984 Notice of Withdrawal of Appearance in Proceeding.Certificate of Svc Encl ML20099G5381984-11-23023 November 1984 Supplemental Appeal Brief in Response to Intervenor 841106 Supplemental Brief on Appeal & in Support of ASLB 841016 Supplemental Initial Decision Authorizing Issuance of Ol. Certificate of Svc Encl ML20100K0411984-11-22022 November 1984 Submits Concerns Re Safety of Local Residents in Event of Accident & Excessively High Cost of Projected Operation of Facility ML20107H7841984-11-0606 November 1984 Supplemental Brief on Appeal of ASLB 841016 Supplemental Initial Decision Granting Authority for Issuance of Ol. Decision Should Be Reversed.Certificate of Svc Encl ML20140E4081984-10-31031 October 1984 Executed Amend 1 to Indemnity Agreement B-97,deleting Items 2A & 3 in Entirety ML20098G8841984-10-0202 October 1984 Joint Statement of RW Manz & W Faires Re Findings 3-11 Through 3-17 of NRC 830930 Integrated Design Insp Rept. Certificate of Svc Encl ML20098G8681984-10-0202 October 1984 Answer to Intervenor Motion to Reopen Record Re Bechtel Independent Design Review.Motion Should Be Denied ML20098G8901984-10-0202 October 1984 Joint Statement of Kj Green & RW Hooks Re Integrated Design Insp ML20098G8911984-10-0202 October 1984 Joint Statement of Cw Dick & EM Hughes Re Independent Design Insp ML20098G8821984-10-0101 October 1984 Affidavit of Kj Green Re Integrated Design Insp Concerning Mechanical Engineering Work ML20098G8741984-10-0101 October 1984 Affidavit of Br Shelton Re Integrated Design Insp ML20098G8881984-09-29029 September 1984 Affidavit of RW Hooks Re Integrated Design Insp Concerning Structural Design ML20098G8831984-09-28028 September 1984 Affidavit of W Faires Re Findings 3-15 & 3-16 of NRC 830930 Integrated Design Insp Rept ML20098G8811984-09-28028 September 1984 Affidavit of Cw Dick Re Independent Design Review ML20098G8791984-09-28028 September 1984 Affidavit of RP Tuetken Re Readiness for Fuel Loading ML20098G8781984-09-28028 September 1984 Affidavit of RW Manz Concerning Findings 3-11 Through 3-14 & 3-17 of NRC 830930 Integrated Design Insp Re Westinghouse ML20098G8871984-09-28028 September 1984 Affidavit of EM Hughes Re Idvp ML20098G8851984-09-27027 September 1984 Affidavit of Rl Heumann Re Costs of Delay in Startup & Operation of Unit 1 ML20098E2371984-09-24024 September 1984 Reply to Intervenor 840918 Proposed Supplemental Initial Decision.Certificate of Svc Encl ML20097E7221984-09-13013 September 1984 Agreed Motion for Time Extension Until 841101 to File Petition for Hearing Re Emergency Planning Commitment W ML20097C5311984-09-12012 September 1984 Motion to Reopen Record to Include Plant Design as Issue. Supporting Documentation & Certificate of Svc Encl ML20097B7791984-09-10010 September 1984 Proposed Supplemental Initial Decision Re Reinsp Program. Certificate of Svc Encl ML20096A6391984-08-30030 August 1984 Rebuttal Testimony of RW Hooks Re Validity of Info in Attachment 7 to Stokes Testimony Concerning Design Assumption for Plant.Stokes Info Inapplicable to Plant. Related Correspondence ML20096A6191984-08-30030 August 1984 Rebuttal Testimony of B Erler Re Stokes Allegations Concerning Evaluations of Discrepancies in Calculated Actual Stress Performed by Sargent & Lundy.Related Correspondence ML20096A6261984-08-30030 August 1984 Summary of Rebuttal Testimony & Testimony of ML Somsag, Eb Branch,D Demoss,Mr Frankel,Bf Maurer & Jk Buchanan Re Plant QC Inspector Reinsp Program & C Stokes Allegations Re Welds.Related Correspondence ML20096A6441984-08-28028 August 1984 Notice of Withdrawal of Appearance in Proceeding.Related Correspondence ML20112D5271984-08-24024 August 1984 Applicant Exhibit A-R-4,consisting of Feb 1984 Rept on Bryon QC Inspector Reinsp Program ML20112D5031984-08-24024 August 1984 Applicant Exhibit A-R-5,consisting of June 1984 Suppl to Rept on Bryon QC Inspector Reinsp Program ML20112D7441984-08-23023 August 1984 Intervenor Exhibit I-R-1,consisting of Undated List of Teutken Safety Category Insp Types ML20112D7511984-08-21021 August 1984 Staff Exhibit S-R-1,consisting of 840813 Instruction for Walkdown of Cable Tray Hanger Connection Welds ML20112D4641984-08-21021 August 1984 Intervenor Exhibit I-R-11,consisting of Undated Chronological Date Listing of Util Responses to Interrogatory 12.VA Judson to Mi Miller Re Interrogatory 12 & Supplemental Responses Encl 1999-03-02
[Table view] Category:TRANSCRIPTS
MONTHYEARML20207E0051999-03-0202 March 1999 Transcript of 990302 Public Meeting with Commonwealth Edison in Rockville,Md.Pp 1-104.Supporting Documentation Encl ML20236H9381998-06-30030 June 1998 Transcript of 980630 Meeting W/Commonwealth Edison in Rockville,Md.Pp 1-123.Supporting Documentation Encl ML20198P3001997-11-0404 November 1997 Transcript of 971104 Public Meeting W/Ceco in Rockville,Md Re Measures Established by Ceco to Track Plant Performance & to Gain Understanding of CAs Put Into Place to Improve Safety.Pp 1-105.W/Certificate & Viewgraphs ML20209J3251987-01-30030 January 1987 Transcript of 870130 Commission Discussion/Possible Vote on Full Power OL for Facility.Pp 1-72.Supporting Viewgraphs Encl ML20211B0841986-08-0505 August 1986 Transcript of 860805 Meeting Between Region Iii,Computer Interference Elimination & Util in Redmond,Wa Re Plant as-built Drawing Review.Pp 1-200 ML20096A6261984-08-30030 August 1984 Summary of Rebuttal Testimony & Testimony of ML Somsag, Eb Branch,D Demoss,Mr Frankel,Bf Maurer & Jk Buchanan Re Plant QC Inspector Reinsp Program & C Stokes Allegations Re Welds.Related Correspondence ML20096A6191984-08-30030 August 1984 Rebuttal Testimony of B Erler Re Stokes Allegations Concerning Evaluations of Discrepancies in Calculated Actual Stress Performed by Sargent & Lundy.Related Correspondence ML20096A6391984-08-30030 August 1984 Rebuttal Testimony of RW Hooks Re Validity of Info in Attachment 7 to Stokes Testimony Concerning Design Assumption for Plant.Stokes Info Inapplicable to Plant. Related Correspondence ML20094P7721984-08-17017 August 1984 Summary of Testimony & Direct Testimony of CC Stokes on Reinsp Program.Related Correspondence ML20094R1021984-08-17017 August 1984 Transcript of CC Stokes 840817 Deposition in Chicago,Il. Pp 1-173.Vol Ii.Related Correspondence ML20094P5991984-08-16016 August 1984 Direct Testimony of CC Stokes Re Engineering Evaluations Performed & Use of Engineering Judgement by Sargent & Lundy. Suggests Need for Independent Engineering Analysis of Safety Significance of Reinsp Program.Related Correspondence ML20094P6311984-08-14014 August 1984 Summary of Testimony & Testimony of Ds Kochhar on Contention 1 Re Reinsp Program.Certificate of Svc Encl.Related Correspondence ML20094P6831984-08-13013 August 1984 Summary of Testimony & Testimony of Wh Bleuel on Contention 1 Re Reinsp Program.Resume Encl.Related Correspondence ML20094P6951984-08-13013 August 1984 Summary of Testimony & Testimony of EP Erickson on Contention 1 Re Reinsp program-inspector Qualification & Work Quality.Resume & Certificate of Svc Encl.Related Correspondence ML20093L4881984-07-30030 July 1984 Summary of Testimony & Testimony of Eb Branch Re Contention 1 (Reinsp Program,Work Quality).Related Correspondence ML20093L1811984-07-30030 July 1984 Summary of Testimony & Testimony of KT Kostal on Contention 1 Re Capacity of Sys Control Corp Supplied Components to Carry Design Loads.Related Correspondence ML20093L2721984-07-30030 July 1984 Summary of Testimony & Testimony of Ak Singh on Contention 1 Re Evaluations of Discrepancies in Cable Tray Hanger Connections,Solid Bottom Tray Welds & Ladder Tray Weld Connections.Related Correspondence ML20093L2051984-07-30030 July 1984 Summary of Testimony & Testimony of Ld Johnson on Contention 1 Re Adequacy of Sys Control Corp Supplied Main Control Boards.Related Correspondence ML20090E5521984-07-17017 July 1984 Testimony of Eb Branch Re Job Responsibilities,Educ Background & Work Experience.Related Correspondence ML20090A7981984-07-0909 July 1984 Testimony of Gf Marcus Re Pittsburgh Testing Lab Source Insp of Equipment & Components Supplied by Sys Control Corp ML20090A8121984-07-0909 July 1984 Testimony of Bf Maurer Re Analysis of Structural Adequacy of Main Control Panels Designed & Fabricated by Sys Control Corp ML20092P7921984-07-0202 July 1984 Summary of Testimony & Testimony of ML Somsag Re QA Inspector Reinsp Program for Hunter Corp.Related Correspondence ML20092P7891984-07-0202 July 1984 Summary of Testimony & Testimony of Rv Laney on Contention 1 Re Work Quality.Related Correspondence ML20092P7951984-07-0202 July 1984 Summary of Testimony & Testimony of Ak Singh on Contention 1 Re Reinsp Program,Work Quality.Related Correspondence ML20092P7941984-07-0202 July 1984 Summary of Testimony & Testimony of LO Delgeorge on Contention 1 Re Reinsp Program,Inspector Qualification & Work Quality.Related Correspondence ML20092P5541984-07-0202 July 1984 Summary of Testimony & Testimony of Dl Leone on Contention 1 Re Reinsp Program for Work Quality ML20092P5551984-07-0202 July 1984 Summary of Testimony & Testimony of R French on Contention 1 Re Reinsp Program ML20092P7781984-07-0202 July 1984 Summary of Testimony & Testimony of Wj Shewski on Contention 1 Re Reinsp Program,Inspector Qualification.Related Correspondence ML20092P7811984-07-0202 July 1984 Summary of Testimony & Testimony of Jm Mclaughlin on Contention 1 Re Reinsp Program,Work Quality.Related Correspondence ML20092P7871984-07-0202 July 1984 Summary of Direct Testimony & Testimony of RP Tuetken Re Reinsp Program.Related Correspondence ML20092P7851984-07-0202 July 1984 Summary of Testimony & Testimony of Wb Behnke on Contention 1 Re Overview of Quality Program,Work Quality. Related Correspondence ML20092N4971984-06-29029 June 1984 Testimony of Bg Treece on Issues 5 & 6 Re Cable Overtensioning,As Limited by ASLB 840608 Order.Related Correspondence ML20092N4911984-06-29029 June 1984 Summary of Direct Testimony of Jo Binder on Issues 5 & 6 Re Cable Overtensioning,As Limited by ASLB 840608 Order.Related Correspondence ML20092K7691984-06-26026 June 1984 Summary of Testimony of J Hansel on Contention 1 Re Reinsp Program.Prof Qualifications Encl.Related Correspondence ML20205H8901983-08-10010 August 1983 Public Version of Transcript of 830810 in Camera,Ex Parte Hearing in Rockford,Il.Pp 7,585-7,610 ML20205H8941983-08-10010 August 1983 Public Version of Transcript of 830810 in Camera,Ex Parte Hearing W/Ofc of Investigations in Rockford,Il.Pp 7,611.1- 7,611.71 ML20205H8841983-08-0909 August 1983 Public Version of Transcript of 830809 in Camera,Ex Parte Hearing in Rockford,Il.Pp 7,304-7,405 ML20080B3051983-08-0303 August 1983 Testimony of RP Tuetken Re Util Reinsp Program of Work Performed by Contractor Insp Personnel Prior to NRC Region III Mar,Apr & May 1982 Insps.Appropriate Steps Taken to Remedy Problems ML20080B3091983-08-0303 August 1983 Testimony of Aw Koca Re General Nature of Hatfield Inspector Training & Certification Program.Certification of J Hughes Described ML20080B2951983-08-0303 August 1983 Testimony of Ma Stanish Re Recertification of Qa/Qc Inspectors Subsequent to NRC Region III Mar,Apr & May 1982 Special Team Insps.Reinsp Program Implemented to Review Work Performed by Inspectors Before NRC 1982 Insp ML20023C7151983-05-12012 May 1983 Testimony of P Holmbeck Re Investigation Into Adequacy of Emergency Plans Re Emergency Planning Contentions.Util Made No Attempt to Study Protective Value of Sheltering Populations Around Plant ML20204F5721983-04-26026 April 1983 Transcript of 830426 Hearing in Rockford,Il.Pp 5,964-6,156 ML20069M4791983-04-25025 April 1983 Handwritten Testimony of J Hughes Re Qa/Qc at Facility ML20069K5691983-04-21021 April 1983 Testimony of Ld Butterfield Re Steam Generator Tube Integrity.Proposed Steam Generator Mods Would Minimize Tube Wear Due to Flow Induced Vibration.Related Correspondence ML20069K5631983-04-21021 April 1983 Revised Testimony of Tf Timmons Re Steam Generator Tube Integrity (Flow Induced Vibration Phenomenon).No Significant Tube Wear Will Be Experienced in Steam Generators Due to Flow Induced Vibration.Related Correspondence ML20073J6691983-04-18018 April 1983 Testimony of Jl Murphy on Rockford League of Women Voters & Dekalb Area Alliance for Responsible Energy/Sinnissippi Alliance for Environ Consolidated Emergency Planning Contentions 3 & 13.Related Correspondence ML20073K4461983-04-18018 April 1983 Rebuttal Testimony of Levine Re Rockford League of Women Voters Contentions 8 & 62 & Dekalb Area Alliance for Responsible Energy/Sinnissippi Alliance for Environ Contention 2a on Public Risk.Related Correspondence ML20073G4241983-04-11011 April 1983 Testimony of Ee Jones Re State of Il Emergency Svc & Disaster Agency Responsibilities Concerning Emergency Planning for Nuclear Facilities & Intervenor Amended Emergency Planning Contention ML20073G4051983-04-11011 April 1983 Testimony of Jc Golden Re Amended Emergency Planning Contention ML20073G4121983-04-11011 April 1983 Testimony of Dl Smith Re Resources Available for Transport & Treatment of Contaminated Injured Persons.Resume Encl 1999-03-02
[Table view] Category:DEPOSITIONS
MONTHYEARML20207E0051999-03-0202 March 1999 Transcript of 990302 Public Meeting with Commonwealth Edison in Rockville,Md.Pp 1-104.Supporting Documentation Encl ML20236H9381998-06-30030 June 1998 Transcript of 980630 Meeting W/Commonwealth Edison in Rockville,Md.Pp 1-123.Supporting Documentation Encl ML20198P3001997-11-0404 November 1997 Transcript of 971104 Public Meeting W/Ceco in Rockville,Md Re Measures Established by Ceco to Track Plant Performance & to Gain Understanding of CAs Put Into Place to Improve Safety.Pp 1-105.W/Certificate & Viewgraphs ML20209J3251987-01-30030 January 1987 Transcript of 870130 Commission Discussion/Possible Vote on Full Power OL for Facility.Pp 1-72.Supporting Viewgraphs Encl ML20211B0841986-08-0505 August 1986 Transcript of 860805 Meeting Between Region Iii,Computer Interference Elimination & Util in Redmond,Wa Re Plant as-built Drawing Review.Pp 1-200 ML20096A6261984-08-30030 August 1984 Summary of Rebuttal Testimony & Testimony of ML Somsag, Eb Branch,D Demoss,Mr Frankel,Bf Maurer & Jk Buchanan Re Plant QC Inspector Reinsp Program & C Stokes Allegations Re Welds.Related Correspondence ML20096A6191984-08-30030 August 1984 Rebuttal Testimony of B Erler Re Stokes Allegations Concerning Evaluations of Discrepancies in Calculated Actual Stress Performed by Sargent & Lundy.Related Correspondence ML20096A6391984-08-30030 August 1984 Rebuttal Testimony of RW Hooks Re Validity of Info in Attachment 7 to Stokes Testimony Concerning Design Assumption for Plant.Stokes Info Inapplicable to Plant. Related Correspondence ML20094P7721984-08-17017 August 1984 Summary of Testimony & Direct Testimony of CC Stokes on Reinsp Program.Related Correspondence ML20094R1021984-08-17017 August 1984 Transcript of CC Stokes 840817 Deposition in Chicago,Il. Pp 1-173.Vol Ii.Related Correspondence ML20094P5991984-08-16016 August 1984 Direct Testimony of CC Stokes Re Engineering Evaluations Performed & Use of Engineering Judgement by Sargent & Lundy. Suggests Need for Independent Engineering Analysis of Safety Significance of Reinsp Program.Related Correspondence ML20094P6311984-08-14014 August 1984 Summary of Testimony & Testimony of Ds Kochhar on Contention 1 Re Reinsp Program.Certificate of Svc Encl.Related Correspondence ML20094P6831984-08-13013 August 1984 Summary of Testimony & Testimony of Wh Bleuel on Contention 1 Re Reinsp Program.Resume Encl.Related Correspondence ML20094P6951984-08-13013 August 1984 Summary of Testimony & Testimony of EP Erickson on Contention 1 Re Reinsp program-inspector Qualification & Work Quality.Resume & Certificate of Svc Encl.Related Correspondence ML20093L4881984-07-30030 July 1984 Summary of Testimony & Testimony of Eb Branch Re Contention 1 (Reinsp Program,Work Quality).Related Correspondence ML20093L1811984-07-30030 July 1984 Summary of Testimony & Testimony of KT Kostal on Contention 1 Re Capacity of Sys Control Corp Supplied Components to Carry Design Loads.Related Correspondence ML20093L2721984-07-30030 July 1984 Summary of Testimony & Testimony of Ak Singh on Contention 1 Re Evaluations of Discrepancies in Cable Tray Hanger Connections,Solid Bottom Tray Welds & Ladder Tray Weld Connections.Related Correspondence ML20093L2051984-07-30030 July 1984 Summary of Testimony & Testimony of Ld Johnson on Contention 1 Re Adequacy of Sys Control Corp Supplied Main Control Boards.Related Correspondence ML20090E5521984-07-17017 July 1984 Testimony of Eb Branch Re Job Responsibilities,Educ Background & Work Experience.Related Correspondence ML20090A7981984-07-0909 July 1984 Testimony of Gf Marcus Re Pittsburgh Testing Lab Source Insp of Equipment & Components Supplied by Sys Control Corp ML20090A8121984-07-0909 July 1984 Testimony of Bf Maurer Re Analysis of Structural Adequacy of Main Control Panels Designed & Fabricated by Sys Control Corp ML20092P7921984-07-0202 July 1984 Summary of Testimony & Testimony of ML Somsag Re QA Inspector Reinsp Program for Hunter Corp.Related Correspondence ML20092P7891984-07-0202 July 1984 Summary of Testimony & Testimony of Rv Laney on Contention 1 Re Work Quality.Related Correspondence ML20092P7951984-07-0202 July 1984 Summary of Testimony & Testimony of Ak Singh on Contention 1 Re Reinsp Program,Work Quality.Related Correspondence ML20092P7941984-07-0202 July 1984 Summary of Testimony & Testimony of LO Delgeorge on Contention 1 Re Reinsp Program,Inspector Qualification & Work Quality.Related Correspondence ML20092P5541984-07-0202 July 1984 Summary of Testimony & Testimony of Dl Leone on Contention 1 Re Reinsp Program for Work Quality ML20092P5551984-07-0202 July 1984 Summary of Testimony & Testimony of R French on Contention 1 Re Reinsp Program ML20092P7781984-07-0202 July 1984 Summary of Testimony & Testimony of Wj Shewski on Contention 1 Re Reinsp Program,Inspector Qualification.Related Correspondence ML20092P7811984-07-0202 July 1984 Summary of Testimony & Testimony of Jm Mclaughlin on Contention 1 Re Reinsp Program,Work Quality.Related Correspondence ML20092P7871984-07-0202 July 1984 Summary of Direct Testimony & Testimony of RP Tuetken Re Reinsp Program.Related Correspondence ML20092P7851984-07-0202 July 1984 Summary of Testimony & Testimony of Wb Behnke on Contention 1 Re Overview of Quality Program,Work Quality. Related Correspondence ML20092N4971984-06-29029 June 1984 Testimony of Bg Treece on Issues 5 & 6 Re Cable Overtensioning,As Limited by ASLB 840608 Order.Related Correspondence ML20092N4911984-06-29029 June 1984 Summary of Direct Testimony of Jo Binder on Issues 5 & 6 Re Cable Overtensioning,As Limited by ASLB 840608 Order.Related Correspondence ML20092K7691984-06-26026 June 1984 Summary of Testimony of J Hansel on Contention 1 Re Reinsp Program.Prof Qualifications Encl.Related Correspondence ML20205H8901983-08-10010 August 1983 Public Version of Transcript of 830810 in Camera,Ex Parte Hearing in Rockford,Il.Pp 7,585-7,610 ML20205H8941983-08-10010 August 1983 Public Version of Transcript of 830810 in Camera,Ex Parte Hearing W/Ofc of Investigations in Rockford,Il.Pp 7,611.1- 7,611.71 ML20205H8841983-08-0909 August 1983 Public Version of Transcript of 830809 in Camera,Ex Parte Hearing in Rockford,Il.Pp 7,304-7,405 ML20080B3051983-08-0303 August 1983 Testimony of RP Tuetken Re Util Reinsp Program of Work Performed by Contractor Insp Personnel Prior to NRC Region III Mar,Apr & May 1982 Insps.Appropriate Steps Taken to Remedy Problems ML20080B3091983-08-0303 August 1983 Testimony of Aw Koca Re General Nature of Hatfield Inspector Training & Certification Program.Certification of J Hughes Described ML20080B2951983-08-0303 August 1983 Testimony of Ma Stanish Re Recertification of Qa/Qc Inspectors Subsequent to NRC Region III Mar,Apr & May 1982 Special Team Insps.Reinsp Program Implemented to Review Work Performed by Inspectors Before NRC 1982 Insp ML20023C7151983-05-12012 May 1983 Testimony of P Holmbeck Re Investigation Into Adequacy of Emergency Plans Re Emergency Planning Contentions.Util Made No Attempt to Study Protective Value of Sheltering Populations Around Plant ML20204F5721983-04-26026 April 1983 Transcript of 830426 Hearing in Rockford,Il.Pp 5,964-6,156 ML20069M4791983-04-25025 April 1983 Handwritten Testimony of J Hughes Re Qa/Qc at Facility ML20069K5691983-04-21021 April 1983 Testimony of Ld Butterfield Re Steam Generator Tube Integrity.Proposed Steam Generator Mods Would Minimize Tube Wear Due to Flow Induced Vibration.Related Correspondence ML20069K5631983-04-21021 April 1983 Revised Testimony of Tf Timmons Re Steam Generator Tube Integrity (Flow Induced Vibration Phenomenon).No Significant Tube Wear Will Be Experienced in Steam Generators Due to Flow Induced Vibration.Related Correspondence ML20073J6691983-04-18018 April 1983 Testimony of Jl Murphy on Rockford League of Women Voters & Dekalb Area Alliance for Responsible Energy/Sinnissippi Alliance for Environ Consolidated Emergency Planning Contentions 3 & 13.Related Correspondence ML20073K4461983-04-18018 April 1983 Rebuttal Testimony of Levine Re Rockford League of Women Voters Contentions 8 & 62 & Dekalb Area Alliance for Responsible Energy/Sinnissippi Alliance for Environ Contention 2a on Public Risk.Related Correspondence ML20073G4241983-04-11011 April 1983 Testimony of Ee Jones Re State of Il Emergency Svc & Disaster Agency Responsibilities Concerning Emergency Planning for Nuclear Facilities & Intervenor Amended Emergency Planning Contention ML20073G4051983-04-11011 April 1983 Testimony of Jc Golden Re Amended Emergency Planning Contention ML20073G4121983-04-11011 April 1983 Testimony of Dl Smith Re Resources Available for Transport & Treatment of Contaminated Injured Persons.Resume Encl 1999-03-02
[Table view] Category:NARRATIVE TESTIMONY
MONTHYEARML20207E0051999-03-0202 March 1999 Transcript of 990302 Public Meeting with Commonwealth Edison in Rockville,Md.Pp 1-104.Supporting Documentation Encl ML20236H9381998-06-30030 June 1998 Transcript of 980630 Meeting W/Commonwealth Edison in Rockville,Md.Pp 1-123.Supporting Documentation Encl ML20198P3001997-11-0404 November 1997 Transcript of 971104 Public Meeting W/Ceco in Rockville,Md Re Measures Established by Ceco to Track Plant Performance & to Gain Understanding of CAs Put Into Place to Improve Safety.Pp 1-105.W/Certificate & Viewgraphs ML20209J3251987-01-30030 January 1987 Transcript of 870130 Commission Discussion/Possible Vote on Full Power OL for Facility.Pp 1-72.Supporting Viewgraphs Encl ML20211B0841986-08-0505 August 1986 Transcript of 860805 Meeting Between Region Iii,Computer Interference Elimination & Util in Redmond,Wa Re Plant as-built Drawing Review.Pp 1-200 ML20096A6261984-08-30030 August 1984 Summary of Rebuttal Testimony & Testimony of ML Somsag, Eb Branch,D Demoss,Mr Frankel,Bf Maurer & Jk Buchanan Re Plant QC Inspector Reinsp Program & C Stokes Allegations Re Welds.Related Correspondence ML20096A6191984-08-30030 August 1984 Rebuttal Testimony of B Erler Re Stokes Allegations Concerning Evaluations of Discrepancies in Calculated Actual Stress Performed by Sargent & Lundy.Related Correspondence ML20096A6391984-08-30030 August 1984 Rebuttal Testimony of RW Hooks Re Validity of Info in Attachment 7 to Stokes Testimony Concerning Design Assumption for Plant.Stokes Info Inapplicable to Plant. Related Correspondence ML20094P7721984-08-17017 August 1984 Summary of Testimony & Direct Testimony of CC Stokes on Reinsp Program.Related Correspondence ML20094R1021984-08-17017 August 1984 Transcript of CC Stokes 840817 Deposition in Chicago,Il. Pp 1-173.Vol Ii.Related Correspondence ML20094P5991984-08-16016 August 1984 Direct Testimony of CC Stokes Re Engineering Evaluations Performed & Use of Engineering Judgement by Sargent & Lundy. Suggests Need for Independent Engineering Analysis of Safety Significance of Reinsp Program.Related Correspondence ML20094P6311984-08-14014 August 1984 Summary of Testimony & Testimony of Ds Kochhar on Contention 1 Re Reinsp Program.Certificate of Svc Encl.Related Correspondence ML20094P6831984-08-13013 August 1984 Summary of Testimony & Testimony of Wh Bleuel on Contention 1 Re Reinsp Program.Resume Encl.Related Correspondence ML20094P6951984-08-13013 August 1984 Summary of Testimony & Testimony of EP Erickson on Contention 1 Re Reinsp program-inspector Qualification & Work Quality.Resume & Certificate of Svc Encl.Related Correspondence ML20093L4881984-07-30030 July 1984 Summary of Testimony & Testimony of Eb Branch Re Contention 1 (Reinsp Program,Work Quality).Related Correspondence ML20093L1811984-07-30030 July 1984 Summary of Testimony & Testimony of KT Kostal on Contention 1 Re Capacity of Sys Control Corp Supplied Components to Carry Design Loads.Related Correspondence ML20093L2721984-07-30030 July 1984 Summary of Testimony & Testimony of Ak Singh on Contention 1 Re Evaluations of Discrepancies in Cable Tray Hanger Connections,Solid Bottom Tray Welds & Ladder Tray Weld Connections.Related Correspondence ML20093L2051984-07-30030 July 1984 Summary of Testimony & Testimony of Ld Johnson on Contention 1 Re Adequacy of Sys Control Corp Supplied Main Control Boards.Related Correspondence ML20090E5521984-07-17017 July 1984 Testimony of Eb Branch Re Job Responsibilities,Educ Background & Work Experience.Related Correspondence ML20090A7981984-07-0909 July 1984 Testimony of Gf Marcus Re Pittsburgh Testing Lab Source Insp of Equipment & Components Supplied by Sys Control Corp ML20090A8121984-07-0909 July 1984 Testimony of Bf Maurer Re Analysis of Structural Adequacy of Main Control Panels Designed & Fabricated by Sys Control Corp ML20092P7921984-07-0202 July 1984 Summary of Testimony & Testimony of ML Somsag Re QA Inspector Reinsp Program for Hunter Corp.Related Correspondence ML20092P7891984-07-0202 July 1984 Summary of Testimony & Testimony of Rv Laney on Contention 1 Re Work Quality.Related Correspondence ML20092P7951984-07-0202 July 1984 Summary of Testimony & Testimony of Ak Singh on Contention 1 Re Reinsp Program,Work Quality.Related Correspondence ML20092P7941984-07-0202 July 1984 Summary of Testimony & Testimony of LO Delgeorge on Contention 1 Re Reinsp Program,Inspector Qualification & Work Quality.Related Correspondence ML20092P5541984-07-0202 July 1984 Summary of Testimony & Testimony of Dl Leone on Contention 1 Re Reinsp Program for Work Quality ML20092P5551984-07-0202 July 1984 Summary of Testimony & Testimony of R French on Contention 1 Re Reinsp Program ML20092P7781984-07-0202 July 1984 Summary of Testimony & Testimony of Wj Shewski on Contention 1 Re Reinsp Program,Inspector Qualification.Related Correspondence ML20092P7811984-07-0202 July 1984 Summary of Testimony & Testimony of Jm Mclaughlin on Contention 1 Re Reinsp Program,Work Quality.Related Correspondence ML20092P7871984-07-0202 July 1984 Summary of Direct Testimony & Testimony of RP Tuetken Re Reinsp Program.Related Correspondence ML20092P7851984-07-0202 July 1984 Summary of Testimony & Testimony of Wb Behnke on Contention 1 Re Overview of Quality Program,Work Quality. Related Correspondence ML20092N4971984-06-29029 June 1984 Testimony of Bg Treece on Issues 5 & 6 Re Cable Overtensioning,As Limited by ASLB 840608 Order.Related Correspondence ML20092N4911984-06-29029 June 1984 Summary of Direct Testimony of Jo Binder on Issues 5 & 6 Re Cable Overtensioning,As Limited by ASLB 840608 Order.Related Correspondence ML20092K7691984-06-26026 June 1984 Summary of Testimony of J Hansel on Contention 1 Re Reinsp Program.Prof Qualifications Encl.Related Correspondence ML20205H8901983-08-10010 August 1983 Public Version of Transcript of 830810 in Camera,Ex Parte Hearing in Rockford,Il.Pp 7,585-7,610 ML20205H8941983-08-10010 August 1983 Public Version of Transcript of 830810 in Camera,Ex Parte Hearing W/Ofc of Investigations in Rockford,Il.Pp 7,611.1- 7,611.71 ML20205H8841983-08-0909 August 1983 Public Version of Transcript of 830809 in Camera,Ex Parte Hearing in Rockford,Il.Pp 7,304-7,405 ML20080B3051983-08-0303 August 1983 Testimony of RP Tuetken Re Util Reinsp Program of Work Performed by Contractor Insp Personnel Prior to NRC Region III Mar,Apr & May 1982 Insps.Appropriate Steps Taken to Remedy Problems ML20080B3091983-08-0303 August 1983 Testimony of Aw Koca Re General Nature of Hatfield Inspector Training & Certification Program.Certification of J Hughes Described ML20080B2951983-08-0303 August 1983 Testimony of Ma Stanish Re Recertification of Qa/Qc Inspectors Subsequent to NRC Region III Mar,Apr & May 1982 Special Team Insps.Reinsp Program Implemented to Review Work Performed by Inspectors Before NRC 1982 Insp ML20023C7151983-05-12012 May 1983 Testimony of P Holmbeck Re Investigation Into Adequacy of Emergency Plans Re Emergency Planning Contentions.Util Made No Attempt to Study Protective Value of Sheltering Populations Around Plant ML20204F5721983-04-26026 April 1983 Transcript of 830426 Hearing in Rockford,Il.Pp 5,964-6,156 ML20069M4791983-04-25025 April 1983 Handwritten Testimony of J Hughes Re Qa/Qc at Facility ML20069K5691983-04-21021 April 1983 Testimony of Ld Butterfield Re Steam Generator Tube Integrity.Proposed Steam Generator Mods Would Minimize Tube Wear Due to Flow Induced Vibration.Related Correspondence ML20069K5631983-04-21021 April 1983 Revised Testimony of Tf Timmons Re Steam Generator Tube Integrity (Flow Induced Vibration Phenomenon).No Significant Tube Wear Will Be Experienced in Steam Generators Due to Flow Induced Vibration.Related Correspondence ML20073J6691983-04-18018 April 1983 Testimony of Jl Murphy on Rockford League of Women Voters & Dekalb Area Alliance for Responsible Energy/Sinnissippi Alliance for Environ Consolidated Emergency Planning Contentions 3 & 13.Related Correspondence ML20073K4461983-04-18018 April 1983 Rebuttal Testimony of Levine Re Rockford League of Women Voters Contentions 8 & 62 & Dekalb Area Alliance for Responsible Energy/Sinnissippi Alliance for Environ Contention 2a on Public Risk.Related Correspondence ML20073G4241983-04-11011 April 1983 Testimony of Ee Jones Re State of Il Emergency Svc & Disaster Agency Responsibilities Concerning Emergency Planning for Nuclear Facilities & Intervenor Amended Emergency Planning Contention ML20073G4051983-04-11011 April 1983 Testimony of Jc Golden Re Amended Emergency Planning Contention ML20073G4121983-04-11011 April 1983 Testimony of Dl Smith Re Resources Available for Transport & Treatment of Contaminated Injured Persons.Resume Encl 1999-03-02
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Text
14 Date: Februcry. 15, 1983 2
UNITED STATES OF AMERICA NCCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In The Matter of )
)
)
COMMONWEALTH EDISON COMPANY ) Docket Nos. 50-454 OL
) 455 OL
)
(Byron Nuclear Power Station, )-
Units 1 & 2) ..- )
SUMMARY
OF TESTIMONY OF ALAN K. YONK Mr. Yonk is a geologist, employed by Sargent and Lundy, the Byron Station architect-engineer. EHe is-familiar with the geology of the plant site and the site vicinity.
His testimony is being offered to respond to those portions of the Rockford League of Women Voters' Contention 106 which assert that strain gauge tests should have been performed as part of the geologic and seismic investigation, and that there is insufficient information to determine whether the Plum River Fault is a capable fault.
Mr. Yonk first establishes his qualifications to testify regarding the geology of the Byron area. (pp. 1-2).
He then describes the data (excavation reports and scien-tific literature) which was considered as a part of the geologic investigations, and in particular the investigations of faults in the Byron area. (pp. 2-3). Mr. Yonk continues by describing the manner in which the dates of last movement 8
15
{g222029883hh454 ADOCK 050 PDR
. 05 What are your responsibilities with respect to the 1.
Byron Nuclear Power Plant?
A5 Originally, I was involved in the review and preparation of some portions of the FSAR pertaining to regional and site geology. Since then, I have been involved in assisting Commonwealth Edison Company during the course of the NRC Staff technical review of the Byron license application, and in reviewing and analyzing matters raised in contentions filed in the NRC operating license proceedings.
06 Are you familiar with the studies and investigations which were performed regarding the geology of the Byron site?
A6 Yes.
07 Can you briefly describe those studies?
A7 Basically, the studies consist of a review of the scientific literature covering the geology of the Byron environs, geologic mapping of the excavations at the Byron Plant and also a report of small displacement faults discovered at the site.
08 Who performed these studies?
A8 The preparation of the FSAR was performed by Dames &
Moore and Sargent & Lundy. Dames and Moore is a geo-technical and environmental consulting firm. The mapping of the excavation was performed by Dames &
Moore with Sargent & Lundy review in the field. The examination of the small faults found in the excavation was performed by both Dames & Moore and Sargent & Lundy.
l
TESTIMONY OF ALAN K. YONK ON CONTENTION 106 9
Q1 Please state your name.
Al Alan K. Yonk Q2 By whom are you employed?
A2 Sargent & Lundy Engineers Q3 Briefly describe your educational and professional background and experience.
A3 I attended Northern Illinois University, majoring in geology. I was awarded a Bachelor of Science degree in 1969, and a Master of Science degree in 1971. I am a Senior Geologist at Sargent & Lundy. In thct capacity I supervise geologic studies for both nuclear and fossil fuel power plants. A more detailed statement of my educational and work experience is attached to this testimony.
Q4 To which contention is this testimony addressed?
A4 The League of Women Voters Contention 106. In particular, that portion of Contention 106 which states that "due to the lack of reliable information regarding the cause of earthquakes which have been experienced in northern Illinois, Edison should be required to perform strain gauge tests on faults cutting basement rock located in the northern Illinois region where earthquakes of modified Mercalli VII or greater intensity are expected to occur." I will also address that portion of the contention which asserts it is not known whether the "recently discovered Plum River Fault is a capable fault."
of the small displacement faults found on site and the Plum River and Sandwich Faults, which are located in the vicinity of the site, were determined. (pp. 3-6). His conclusion is that the date of last movement was greater than 200,000 years ago. Mr. Yonk then addresses the criteria set forth in Appendix A to 10 C.F.R. Part 100 for determining whether a fault is capable, and provides the basis for his opinion that, under these criteria, the faults, including the Plum River Fault, are not capaile faults. (pp. 6-8).
Finally, Mr. Yonk prcvides the basis for his opinion that it is not necessary to conduct strain guage tests near faults cutting basement rock. His reasons are threefold: (1) such tests are not required by the Commission's regulations an'd the investigations required by the regulations which were conducted provide a sufficient basis for concluding the faults are not capable; (2) it is questionable whether strain guage tests would provide any additional useful information; and (3) the intensity of the Byron design basis earthquake is greater than the intensity of any earthquake experienced in the area. (pp. 8-9). The final three pages of testimony describe the reasons underlying the selection of the Byron design basis earthquake.
In sum, Mr. Yonk's testimony refutes the League's contention that strain guage testing is necessary, and that the Plum River Fault may be a capable fault.
l
09- Please describe the geology of the Byron site.
A9 The Byron site is basically a rock site. The plant foundations extend into the upper bedrock units which are part of the Ordovician-age Galena Group dolomites.
These dolomites are jointed and fractured:in the upper formations of the Galena Group. Some solution activity has taken place among the joints with widening of the joints. Some of the joints have minor offsets, which technically qualifies them as faults. These faults were discovered during mapping of the excavation and upon further study it was determined that the maximum vertical offset on any fault was approximately six inches. The lateral extent of the longest small fault encountered in the excavation ranges from 1,000 to 1,800 feet. It was determined that the age of this faulting, based on Dames & Moore /Sargent & Lundy studies and consultation with the Illinois State Geological Survey, was at least pre-Illinoian in age or greater 1
than 200,000 years before present.
Q10 What is meant by the term " fault dating"?
A10 Fault dating consists of examining and analyzing geologic structures and other data to determine the approximate date of last movement of a fault. Faults can be dated by one of two principal methods, absolute and relative age dating. One method of absolute age dating is based on radiometric studies of naturally occurring radioactive isotopes and their daughter
products. This method was considered for dating the Byron faults, but because proper mineralogy was not present at the Byron site to use radiometric dating, it was not utilized.
011 What method was used to date the faults at Byron?
All We used the relative age dating method. Basically, relative age dating consists of determining the age of a fault by examining the material which overlies the fault. If we know when the overlying material was deposited we can surmise the date of last movement of the fault. Specifically, the small displacement faults at Byron were dated by using regional interpretation of geologic history in Illinois and cross-cutting relation-ships of the faults. Dating by cross-cutting relation-ships is a method whereby the fault is traced upward through stratigraphically younger faulted rock to a point where the fault stops and is overlain by un-faulted rock or soil. The age of the fault is there-
. fore older than the age of the unfaulted rock or soil i
and faulting occurred prior to the deposition of the unfaulted rock or soil.
I l
Q12 Were you able to determine the date of last movement of 1
i
( the displacement faults at the Byron site?
A12 Yes. Studies on the small displacement faults found in the Byron excavation indicated that the faults were continuous to the top of the bedrock surface. However, they did not extend into the overlying soil units. The
age of these soil units was determined to be Illinoian or older. Illinoian soils were deposited approximately 200,000 years before the present. Therefore, the most recent movement of these faults occurred at least 200,000 years ago.
013 On what do you base your conclusion that the soil units overlying the displacement faults at Byron were at least Illinoian in age?
A13 The soils and faults were examined by members of the Illinois State Geological Survey, well recognized experts on Illinois' geology. The exact formational unit was identified by members of the State Survey who determined that these soils are at least Illincian in age.
Ql4 Have the dates of the most recent movement on faults located in the vicinity of the Byron Plant also been ascertained?
A14 Yes, also by relative age dating. Faults identified in the plant's vicinity are the Plum River Fault Zone and the Sandwich Fault Zone. The best information indicates that the eastern end of the Plum River Fault Zone is approximately 5.3 miles northwest of the Byron site.
The western limit of the Sandwich Fault Zone is approxi-mately 6 miles southwest of the Byron site. These two fault zones have been studied by the Illinois State Geological Survey and a report has been issued by the Survey on each of these fault zones. The studies of
. . the Plum-River Fault Zone are discussed in the Illinois State Geological Survey Circular 491 and the studies of the Sandwich Fault Zone are discussed in Illinois State
-Geological Survey Circular 505. The studies indicate that there is no evidence that the Plum River and Sand-wich Fault Zones are connected.
015 Do these studies indicate the date of last movement of the Plum River Fault Zone and Sandwich Fault Zone?
A15 Yes. In both cases the date of last movement is prior to the deposition of Illinoian age soils with no evi-dence of displacement observed in the overlying soils.
Thus, as with the small displacement faults on the Byron site, the last mcVement on these faults occurred at least 200,000 years ago.
Ql6 Do you agree with the conclusions reported by the Illinois Geological Survey.concerning the age of the Plum River and Sandwich Fault Zones?
A16 Yes. Based on my review of these reports, I believe these conclusions to be accurate.
Q17 Based on your review of the geologic mapping and fault investigations and the Illinois State Geological Survey circulars referred to earlier in your testimony, do you have an opinion whether there has been movement at or near the ground surface of the faults located on or near the Byron site at least once within the past 35,000 years?
A17 Yes. There is no evidence of any movement on these faults within the last 200,000 years let alone the last 35,000 years.
018 Do you have an opinion whether there has been any s
movement of a recurring nature with respect to these faults within the past 500,000 years?
A18 Yes. There is no evidence of any recurring movement on any of.these faults within Pleistocene time. Pleistocene is dated to have started approximately one million years before present. Therefore, it is my opinion that there has been no movement of a recurring nature within the last 500,000 years.
Ol9 Has there been any macro-seismicity instrumentally determined with records of sufficient precision which is directly related to any of the faults located on or near the Byron site?
A19 No, to my knowledge there is no instrumentally deter-mined evidence of macro-seismicity associated with these faults.
Q20 To your knowledge are any of the faults located on or near the vicinity of the Byron site related to a capable fault such that movement on the capable fault could reasonably be expected to be accompanied by movement on the faults in the Byron site vicinity?
A20 Based on my knowledge of geologic structures in northern Illinois, and my revies of the studies and reports re-garding faults in the Byron area, I conclude that no fault on the Byron site or in the vicinity of the Byron site has any structural relationship to any capable fault. Indeed, since there is no known Pleistocene faulting known in northern Illinois, there are no
capable faults on which movement could reasonably be o
expected to cause movement on the faults in the Byron area.
Q21 Getting to Contention 106, the League of Women Voters I
asserts that strain gauge tests should be performed on
~
faults located in northern Illinois which cut basement rock. In your opinion, is it necessary to conduct such tests?
A21 No, for three reasons. First, the NRC regulations, specifically Appendix A to 10 CFR Part 100, require that the faults in the Byron area be studied to determine whether they are capable faults. This has been done, and based upon the excavations and studies, discussed earlier in my testimony, the evidence is basically irrefutable that the faults in question are noncapable.
Commonwealth Edison has clearly complied with the regulatory requirements, and there is simply no practical justification for requiring additional tests, as requested by the League.
Additionally, I do not believe that the information which would result from the very significant effort i
which would be involved in performing strain guage tests l near faults cutting basement rock would be of substantial benefit. In the area in question, the top of the base-ment rock is at least 3,500 feet below the earth's I
surface. It is highly questionable whether the faults which the League would have stress tested could be i
i located. Moreover, even if they were located, and r, .a.v . , , - - - - - , - - - . . .,,,,-,.-n. ,,,.m,e ,nn~,-- -.. , - - , ...n._ _ -w. - .,-.
the relative stresses were measured it is unlikely that the information would be of substantial assistance in predicting where or when along the rault, some of which run tens of miles, an earthquake could occur.
Therefore, for the purpose of determining the seismic suitability of the Byron site, the information gathered could well be useless.
Finally, and most significantly, because of the very uncertainty of the causes of earthquakes in the northern Illinois region to which the League refers in Contention 106, the Byron Station is designed to withstand the consequences of an earthquake greater in magnitude than any earthquake ever known to have been experienced in the area. Thus, the question of whether further testing and analysis of faults, beyond what is required by the NRC's regulations, should be required is basically irrelevant. Simply put, the plant is designed to withstand an earthquake which is greater than any which could reasonably be experienced j in the area, irrespective of what might cause such an earthquake.
022 What is the intensity of the earthquake selected for the design of the Byron Station?
I A22 The theoretical earthquake selected has an intensity of VIII on the Modified Mercalli scale.
023 Why was such an earthquake selected?
A23 Because the faults in the Byron area are not capable I
o
, faults, we considered the intensities of earthquakes which have been experienced in the Byron region, and determined that the controlling earthquake for Byron was the 1937 Anna, Ohio MM VII-VIII earthquake. Since an MM VII earthquake has been experienced in the northern Illinois area, the NRC Staff required that the Byron design basis earthquake be an MM VIII earthquake.
This value is conservative since the greatest recorded earthquake in the 206 mile area surrounding Byron is the 1909 MM VII earthquake which occurred near Beloit, Wisconsin.
Q24 What is the most recent earthquake which occurred closest to the plant site?
A24 The most recent earthquake which occurred closest to the plant site was the 1972 northern Illinois earth-quake which occurred near the town of Amboy, Illinois in Lee County.
025 What was the intensity of that earthquake?
A25 The epicentral intensity of this earthquake was a Modi-fied Mercalli VI. The felt intensity at the Byron site based on isoseismal maps was a Modified Mercalli V.
Q26 Do you know what the stress orientation and causative mechanisms were which are associated with this earth-quake?
A26 Studies done by Herrmann, a well recognized seismologist from St. Louis University, in 1979 using P wave first motion together with amplitude and phase data from long
. . -- _ .- - =.
period Love and Rayleigh waves indicate that the least principal horizontal stress orientation was N 51* W and the stress regime was strike slip movement. The epicentral depth of this earthquake was between 15 kilometers or 9 mi_es, and 6 kilometers or 3.6 miles, i
which places the movement on the strike slip fault well within the Precambrian rock sequence. One of Herrmann's conclusions based on this data was that the northern Illinois earthquake did not correlate with Paleozoic features. This indicates that 'oth the Plum River and Sandwich Fault Zones as well as the small displacement features found at the Byrcn site are unrelated to the causal mechanisms of the 1972 northern Illinois earthquake.
1,
ATTACHMENT A PROFESSIONAL QUALIFICATIONS OF ALAN K. YONK Employment: November 1913 to present (
Sargent & Lundy, Chicago, Illinois Position: Staff Geologist from November, 1973 to October, 1976. Promoted to Senior Geologist in 1976.
Responsibilities: Supervision of geological evaluations of power plant sites to assure technical quality of work performed and coordination of work schedule.
I have been responsible for the planning and administration of geotechnical investigations during the site investigations, construction, and post-construction phases for nuclear and fossil fueled power plants. My duties have included supervision and coordinating the preparation of the geological aspects for siting reports, environmental reports, PSAR's and FSAR's; preparation of responses to NRC licensing questions of PSAR's and FSAR's; participation in licensing hearings for a nuclear power plant design criteria and specifications. I have evaluated soil and sedimentary, metamorphic, and igneous rock types from a standpoint of construction suitability and economic value. I have also evaluated rock for construction purposes on the basis on the rock quality designation method. I have also advised engineers and project management on geological matters.
Other facets of my activities include direct contact with clients and consultants.
In addition to the geotechnical investigations for nuclear and fossil fueled power plants, I have also been responsible for the geological aspects of evaluation, exploration, and design of a compressed air energy storage peaking plant.
June, 1971 to May, 197e Lindgren Exploration Company, Wayzata, Minnesota Position: Geologist Responsibilities: Geological and geochemical exploration for base metals in the southeastern United States, concentrating on the geology of the Piedmont: Duties as a geologist were geo-chemical and geologic scouting, detailed soil and stream sediment geochemical sampling, geo-chemical interpretation, geologic mapping and interpretation, and some geophysical scouting
, and interpretation. Assisted in initiating feasibility studies for industrial minerals in the upper Midwest region.
June, 1969 to September, 1969 Lindgren Exploration Company, Wayzata, Minnesota Position: Summer Staff Geologist Responsibilities: Geological and geochemical exploration for base metals in the Boulder Batholith region of Montana. Duties were geochemical and geologic scouting, stream sediment geochemical sampling, and geochemical interpretation.
, Education: Bachelor of Science, January, 1969 Northern Illinois University, DeKalb, Illinois Major: Geology Minor: Mathematics Master of Science, June, 1971 Northern Illinois University, DeKalb, Illinois Major: Geology Special Interest: Economic Geology Compressed Air Energy Short Course, June, 1977, given by Professors D. L. Katz end E. R. Lady of University of Michigan Applied Hydrogeology
, University of Illinois - Chicago Circle Spring, 1981 Publications "A Re-assessment of the Upper Mississippi Valley Lead
, and Papers Isotope Date,: with J. R. Richards and C. W. Keighin; Presented: Mineral. Deposita, Vol. 7, 1972.
Karst Development in Silurian and Ordovician Carbonates in SE Jefferson Co., Indiana with A. C. Funk and D. L. Siefken, presented at GSA Annual North-Central section meeting in Bloomington, Indiana, April 10-11, 1980.
Sciccted Design & Construction Projects Performed by Alan K. Yonk at Sargent & Lundy Operating Company Station - Unit Assignment
. Public Service Indiana Compressed Air Project Geologist responsible for site Energy Storage evaluation; exploration planning; and well and well-field design.
Commonwealth Edison'Co. Braidwood 1&2 Supervision of the preparation of the Byron 1&2 geology portions to the FSAR-and ER.
Commonucalth Edison Co. Quad Cities 3&4 Supervision and planning for site ex-pioration program. Evaluation of rock quality for construction purposes.
Commonwealth Edison Co. Byron 162 Presentation of groundwater data to NRC and supervision of groundwater monitoring program.
Commonwealth Edison Co. Braidwood*162 Evaluation of riprap sources for slope Byron 162 protection.
LaSalle 152 Quad Cities 162 Illinois Power Co. Clinton 1 Supervision of FSAR preparation (geotechnical portions). Evaluaticn of riprap sources for slope protection.
Public Service Indiana Gib.:on-Lake Monitoring of 1:ke for potential see-page and sources of seepage. Evalun-tions of groundwater monitoring program.
Public Service Indiana Marble Hill 1&2 Resident Geologist responsible for supervision of Sargent & Lundy field personnel and drilling and geophysical subcontractors involved in site mapping and exploration. Responsible for pre-paration of groundwater and geologic portions of PSAR and ER. Presentation of material to NRC during lice'nsing meetings.
Site Studies Operating Company Assignment Arizona Public Service Co. Evaluation of poten'tial sites for development of fossil plants.
Iowa-Illinois Gas & Electri Co. Site development study including planning of site exploration program.
Kentucky Utilities Co. Evaluation of potniktial sites for development of fossil and nuclear plants.
Public Service Indiana Evaluation of potential sites for development of fossil and nuclear plants.
Southwestern Electric Power Co. Evaluation of potential Texas sites for development of fossil plant.