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Category:CORRESPONDENCE-LETTERS
MONTHYEARML20137N1591997-03-31031 March 1997 Informs That Licensee Facility Scheduled to Administer NRC GFE on 970409.Sonalsts,Inc Authorized Under Contract to Support NRC Administration of GFE Activities ML20058M0361993-04-12012 April 1993 Partial Response to FOIA Request for Documents.Forwards Records in App L Which Are Being Withheld Partially for Listed Reasons,(Ref FOIA Exemptions 5) ML20248D6521989-07-20020 July 1989 Forwards Response to Util Re Bills D0184 & D0185 for Plant OL Application Review Costs by Various Program Ofcs Through June 1984 ML20245D9621989-04-28028 April 1989 Forwards Addl Info Re Bunker Ramo Instrumentation Penetration Modules,Per 890131 Request.Util Believes That Modules Environmentally Qualified in Accordance w/10CFR50.49 & NUREG-0588,Category II ML20205C3521988-09-23023 September 1988 Final Response to FOIA Request for Documents Re Plant. Forwards App D Documents.App D Documents Also Available in PDR ML20155A7001988-06-0202 June 1988 Informs That Const on Conversion of Plant to gas-fired Facility Began on 880404 ML20155A7401988-05-18018 May 1988 FOIA Request for Documents on 850731 & 870312 Meetings Re Plant.Document Re 840314 Meeting Previously Obtained & Therefore Excluded from Request ML20237B4361987-12-14014 December 1987 Final Response to FOIA Request for Documents.App B Document, Board Notification 84-024,encl & Also Available in PDR ML20236X6141987-12-0808 December 1987 Final Response to FOIA Request All Documents.No Addl Records Subj to Request Located ML20236U2571987-11-0505 November 1987 FOIA Request for Documents Re Ball Type Main Steam Isolation Valves Used at Facilities ML20235B3081987-09-21021 September 1987 Responds to FOIA Request for Documents,Including AEC to ACRS Forwarding Safety Evaluation Re Zimmer.App a Documents Cannot Be Located.App B Documents in Pdr.App C & D Documents Withheld (Ref 10CFR2.790) ML20235M4251987-07-13013 July 1987 Partial Response to FOIA Request for Documents Re Acrs. Forwards Documents for Categories One & Three of FOIA Request.Review of 21 Addl ACRS Documents Continuing ML20235K1731987-07-0909 July 1987 Partial Response to FOIA Request for Info Re Certain Contracts Awarded by NRC for Reporting Svcs.Forwards App a & B Documents.Documents Also Available in PDR ML20234F0911987-06-26026 June 1987 Responds to Appeal Re Denial of FOIA Request for Documents. Forwards Document 5 in App F.Portions of Document 5 Withheld (Ref FOIA Exemptions 6 & 7).Other Requested Documents Withheld (Ref FOIA Exemption 6) ML20215K1981987-06-19019 June 1987 Final Response to FOIA Request for Documents Re Allegations Concerning Plant.Forwards App G & H Documents.Documents Also Available in Pdr.App H Documents Partially Withheld (Ref FOIA Exemption 6) ML20213F9351987-05-0808 May 1987 Partial Response to FOIA Request.Forwards App F Document & Weld Allegations.App G Documents Partially Withheld (Ref FOIA Exemption 6) ML20206H4951987-04-13013 April 1987 Partial Response to FOIA Request for Documents Re Bechtel Employment Discrimination.Forwards App E Documents.App D Documents Withheld (Ref FOIA Exemption 6) ML20235G2321987-04-0101 April 1987 FOIA Request for Documents Re Forged NDE Inspectors Certification Supplied by Barclay Intl for Use at Quad Cities Nuclear Station & Stated Investigations at Plants ML20211A9531987-02-13013 February 1987 Advises That Financial Info Submitted for 1987 in Util Satisfies Requirements of 10CFR140.21 That Each Licensee Maintain Guarantee of Payment of Deferred Premiums for Operating Reactors Over 100 Mwe ML20212M7651987-01-16016 January 1987 Informs That Due to Demands on Staff,Nrc Will Respond by 870430 to 850607 Request for Review of Invoices D0184 & D0185 Re OL Application Review Costs Through 840623 ML20207C0151986-12-19019 December 1986 Forwards Notice of Withdrawal of Application for OLs & Termination of Proceeding,Per Util 860711 Request & ASLB 861217 Memorandum & Order Granting Motion ML20207C1191986-12-18018 December 1986 Forwards Order Terminating CPPR-81 & CPPR-82 Based on Fact That Const of Facility Ceased,Units Inoperable & Site Environmentally Stable,Per Util 860701 Request to Withdraw Application to Amend CPs ML20215B9641986-12-0505 December 1986 Notifies Util of 870204-05 Early Emergency Responders Workshop in Chicago,Il to Discuss Lessons Learned & Current Problems in Coordination & Integration of Emergency Response Efforts.Meeting Agenda & Preregistration Form Encl ML20214Q0911986-11-24024 November 1986 Partial Response to FOIA Request for Documents Re Ofc of Inspector & Auditor Investigations.Forwards App B Documents. Documents Also Available in PDR ML20214A0761986-11-14014 November 1986 Forwards Insp & Evaluation of Plant for Adequacy of Stabilization Plan,Documenting 861015-16 Site Insp & Review & Insp of Site Stabilization Rept.Environ Stabilization Satisfactory ML20215N0241986-10-28028 October 1986 Forwards Order from DOE Economic Regulatory Admininstration Granting Exemption from Prohibitions of Power Plant & Industrial Fuel Act of 1978 & Puc of Mi Opinion & Order Granting Relief from Commission 850329 Rate Order ML20215M8851986-10-28028 October 1986 Forwards Insp Repts 50-329/86-01 & 50-330/86-01 on 861015-16.No Violations Identified ML20211B5401986-10-0909 October 1986 Further Response to FOIA Request for Eight Categories of Documents Re Ee Kent Allegations Concerning Facilities. Forwards Documents Listed in App K ML20210S9971986-10-0202 October 1986 Requests Change in Facility Svc List Address to Ref Address. Related Correspondence ML20210S4131986-09-26026 September 1986 Further Response to FOIA Request for 16 Categories of Records Re Facilities.Forwards App D & E Documents.Documents Also Available in PDR ML20214T7431986-09-24024 September 1986 Forwards Form 8-K Filed W/Securities & Exchange Commission. Util Believes Info Presented Bears No Issues Currently Before Aslb.Related Correspondence ML20214N4541986-09-0808 September 1986 Provides List of Activities Re Remedial Soils Work Being Modified Pending Final Disposition of Issues Described in Util 860701 & Counsel s Withdrawing Request for CP Extension.W/Svc List.Related Correspondence ML20209E6621986-09-0505 September 1986 Responds to FOIA Request for Documents Re Util Response to NRC 840112 Confirmatory Order.Documents Listed on App Available in PDR IA-86-235, Responds to FOIA Request for Documents Re Util Response to NRC 840112 Confirmatory Order.Documents Listed on App Available in PDR1986-09-0505 September 1986 Responds to FOIA Request for Documents Re Util Response to NRC 840112 Confirmatory Order.Documents Listed on App Available in PDR ML20212K9061986-08-21021 August 1986 Forwards Request for Addl Info Re Environ Review of Util 860711 Request to Withdraw Applications for OL by 860828 ML20206M8311986-08-15015 August 1986 Forwards Util Response to ASLB 860716 Order.W/O Encl.Related Correspondence ML20212J1391986-07-25025 July 1986 Forwards ALAB-106 Monthly Rept for June 1986.Listed Nonconformance Repts & Addl Documents Closed During June Encl ML20207D7261986-07-11011 July 1986 Forwards Motion for Authorization to Withdraw OL Application & for Dismissal of OL & Order of Mod Proceedings & Motion for Termination of Aslab Jurisdiction.W/O Encl.Related Correspondence ML20202F9581986-07-11011 July 1986 Forwards Util Motion for Authorization to Withdraw OL Application & for Dismissal of OL & Order of Mod Proceedings & Motion for Termination of Appeal Board Jurisdiction,For Filing.W/O Encl ML20203B2351986-07-10010 July 1986 Informs That Review of 820622 Application to Receive Unirradiated Nuclear Fuel Assemblies Terminated,Per .Fission Chambers Should Be Disposed of & Licenses SNM-1904 & SNM-1905 Terminated,Per 10CFR70.38(b) ML20206T2401986-07-0101 July 1986 Advises That Since Facility Formally Abandoned as Nuclear Facility,Util Will Not Reply to Generic Ltr 86-05 Re TMI Action Item II.K.3.5 ML20202B1091986-07-0101 July 1986 Forwards Evaluation of 13 Specific Recommendations Contained in BNL Rept of Review of Surveillance & Maint Program,In Response to CE Norelius 860506 Request ML20206T4321986-07-0101 July 1986 Withdraws Application for Ols.Facility Will Be Converted to combined-cycle gas-fired Plant.Abandonment Actions & Equipment Sales Will Provide Assurance That Plant Cannot Be Used as Nuclear Facility ML20199J9181986-06-30030 June 1986 Submits ALAB-106 Quarterly Rept 51.No New Individuals Assigned quality-related Duties.Const Shut Down Since 840716 & No Const Activities Projected for Jul-Sept 1986 ML20211L0361986-06-25025 June 1986 Forwards Bechtel & B&W Nonconformance Repts for May 1986,per Memorandum & Order ALAB-106 ML20198E9051986-05-25025 May 1986 Forwards ALAB-106 Monthly Rept for Apr 1986,including Nonconformance Repts,Quality Action Requests,Equality Audit Finding,B&W Repts of Nonconformance & Audit Finding Repts. Only Nonconformance Repts Encl ML20205P9331986-05-23023 May 1986 Responds to Generic Ltr 86-10, Implementation of Fire Protection Requirements. Project in Surveillance & Maint Mode.Generic Ltr & FSAR Update Will Be Reviewed When Project Restarted ML20203Q2891986-05-0606 May 1986 Forwards BNL Technical Rept, Surveillance & Maint..., Based on NRC 851014-18 Insp.No Violations Noted.Items Identified Could Have Impact on Later Project Restart. Evaluation of Rept Recommendations Requested within 60 Days ML20203N3901986-05-0101 May 1986 Forwards Rev 2 to Tdi Owners Group App Ii:Generic Maint Matrix & Justifications. Rev Approved by Tdi Owners Group & Tdi ML20205N5861986-04-29029 April 1986 Forwards Corrected Page 1 to JW Cook to H Berkow Re Pipe Whip Restraint Design.Last Line Inadvertently Eliminated When Ltr Originally Issued 1997-03-31
[Table view] Category:INCOMING CORRESPONDENCE
MONTHYEARML20245D9621989-04-28028 April 1989 Forwards Addl Info Re Bunker Ramo Instrumentation Penetration Modules,Per 890131 Request.Util Believes That Modules Environmentally Qualified in Accordance w/10CFR50.49 & NUREG-0588,Category II ML20155A7001988-06-0202 June 1988 Informs That Const on Conversion of Plant to gas-fired Facility Began on 880404 ML20155A7401988-05-18018 May 1988 FOIA Request for Documents on 850731 & 870312 Meetings Re Plant.Document Re 840314 Meeting Previously Obtained & Therefore Excluded from Request ML20236U2571987-11-0505 November 1987 FOIA Request for Documents Re Ball Type Main Steam Isolation Valves Used at Facilities ML20216E4721987-05-28028 May 1987 Part 21 Rept 140 Re Potential Defect in Air Pressure Regulators Mfg by Bellofram.Dripwell Gasket May Fail Due to Mismachining of Gasket Seating Surface Causing Loss of Control Air & Starting Air Pressure ML20235G2321987-04-0101 April 1987 FOIA Request for Documents Re Forged NDE Inspectors Certification Supplied by Barclay Intl for Use at Quad Cities Nuclear Station & Stated Investigations at Plants ML20215N0241986-10-28028 October 1986 Forwards Order from DOE Economic Regulatory Admininstration Granting Exemption from Prohibitions of Power Plant & Industrial Fuel Act of 1978 & Puc of Mi Opinion & Order Granting Relief from Commission 850329 Rate Order ML20210S9971986-10-0202 October 1986 Requests Change in Facility Svc List Address to Ref Address. Related Correspondence ML20214T7431986-09-24024 September 1986 Forwards Form 8-K Filed W/Securities & Exchange Commission. Util Believes Info Presented Bears No Issues Currently Before Aslb.Related Correspondence ML20214N4541986-09-0808 September 1986 Provides List of Activities Re Remedial Soils Work Being Modified Pending Final Disposition of Issues Described in Util 860701 & Counsel s Withdrawing Request for CP Extension.W/Svc List.Related Correspondence ML20206M8311986-08-15015 August 1986 Forwards Util Response to ASLB 860716 Order.W/O Encl.Related Correspondence ML20212J1391986-07-25025 July 1986 Forwards ALAB-106 Monthly Rept for June 1986.Listed Nonconformance Repts & Addl Documents Closed During June Encl ML20207D7261986-07-11011 July 1986 Forwards Motion for Authorization to Withdraw OL Application & for Dismissal of OL & Order of Mod Proceedings & Motion for Termination of Aslab Jurisdiction.W/O Encl.Related Correspondence ML20202F9581986-07-11011 July 1986 Forwards Util Motion for Authorization to Withdraw OL Application & for Dismissal of OL & Order of Mod Proceedings & Motion for Termination of Appeal Board Jurisdiction,For Filing.W/O Encl ML20206T4321986-07-0101 July 1986 Withdraws Application for Ols.Facility Will Be Converted to combined-cycle gas-fired Plant.Abandonment Actions & Equipment Sales Will Provide Assurance That Plant Cannot Be Used as Nuclear Facility ML20202B1091986-07-0101 July 1986 Forwards Evaluation of 13 Specific Recommendations Contained in BNL Rept of Review of Surveillance & Maint Program,In Response to CE Norelius 860506 Request ML20206T2401986-07-0101 July 1986 Advises That Since Facility Formally Abandoned as Nuclear Facility,Util Will Not Reply to Generic Ltr 86-05 Re TMI Action Item II.K.3.5 ML20199J9181986-06-30030 June 1986 Submits ALAB-106 Quarterly Rept 51.No New Individuals Assigned quality-related Duties.Const Shut Down Since 840716 & No Const Activities Projected for Jul-Sept 1986 ML20211L0361986-06-25025 June 1986 Forwards Bechtel & B&W Nonconformance Repts for May 1986,per Memorandum & Order ALAB-106 ML20198E9051986-05-25025 May 1986 Forwards ALAB-106 Monthly Rept for Apr 1986,including Nonconformance Repts,Quality Action Requests,Equality Audit Finding,B&W Repts of Nonconformance & Audit Finding Repts. Only Nonconformance Repts Encl ML20205P9331986-05-23023 May 1986 Responds to Generic Ltr 86-10, Implementation of Fire Protection Requirements. Project in Surveillance & Maint Mode.Generic Ltr & FSAR Update Will Be Reviewed When Project Restarted ML20203N3901986-05-0101 May 1986 Forwards Rev 2 to Tdi Owners Group App Ii:Generic Maint Matrix & Justifications. Rev Approved by Tdi Owners Group & Tdi ML20205N5861986-04-29029 April 1986 Forwards Corrected Page 1 to JW Cook to H Berkow Re Pipe Whip Restraint Design.Last Line Inadvertently Eliminated When Ltr Originally Issued ML20197F8331986-04-28028 April 1986 Advises That Response to Generic Ltr 86-04 Re Engineering Expertise on Shift Inapproriate at Present Because Midland Not Currently Under Const.Commitment to Provide Info Will Be Added to Commitment Tracking Sys ML20210L2351986-04-25025 April 1986 Forwards ALAB-106 Monthly Rept for Mar 1986,including Nonconformance Repts,Quality Action Requests,Mgt Corrective Action Repts & Quality Audit Findings ML20203K8531986-04-23023 April 1986 Responds to NRC Re Allegation Concerning Adequacy of Pipe Whip Restraint Design.Project Records Placed in Storage & Personnel Performing Work Dispersed.Specific Design Approach Would Require Check of Records at Bechtel ML20203P1661986-04-21021 April 1986 Discusses 860407 Study Considering Options for Facility. Options Range from Abandonment of Facility to Completion as Nuclear Plant.Conversion of Plant to Combined Cycle gas-fired Plant Chosen as Most Favorable Option ML20209E6531986-03-28028 March 1986 FOIA Request for Documents Re Util Response to NRC 840112 Confirmatory Order ML20140F8781986-03-25025 March 1986 Forwards ALAB-106 Monthly Rept for Feb 1986,including Nonconformance Repts,Quality Action Requests,Mgt Corrective Action Repts & Quality Audit Findings ML20154H9651986-02-25025 February 1986 Forwards Nonconformance Repts Written or Closed During Jan 1986,per Memorandum & Order ALAB-106 ML20154D3581986-02-24024 February 1986 Confirms Items Agreed Upon in 860219 Telcon Re soil-related Issues.Util Will Discontinue Monitoring Dike Groundwater Wells During Shutdown & Site Maint.Authorization Given to Seal Weeping Wall Crack ML20198H2401986-01-24024 January 1986 Forwards ALAB-106 Monthly Rept for Dec 1985,including Bechtel Nonconformance Repts,Quality Action Requests,Mgt Corrective Action Repts & Quality Audit Findings ML20136F4771985-12-31031 December 1985 Forwards PNL-5718, Review of Tdi Diesel Generator Owners Group Engine Requalification Program,Final Rept, Technical Evaluation Rept ML20138Q5531985-12-31031 December 1985 Submits ALAB-106 Quarterly Rept 50.No New Individuals Assigned quality-related Duties Since 850930 Rept & No Const Activities Projected for Jan-Mar 1986 ML20136C5711985-12-20020 December 1985 Forwards Monthly Rept for Nov 1985,including Bechtel Nonconformance Repts,Quality Action Requests,Mgt Corrective Action Repts,Quality Audit Findings,B&W Repts of Nonconformity & Util Nonconformance Repts,Per ALAB-106 ML20138Q3871985-12-13013 December 1985 Ack Receipt of 851115 IE Bulletin 85-003, Motor-Operated Valve Common Mode Failures During Plant Transients Due to Improper Switch Settings. Valve Operability Program & Rept Scheduled to Be Completed Prior to OL Issuance ML20137Z1481985-11-27027 November 1985 Advises That Response to 851029 IE Bulletin 85-001, Steam Binding of Auxiliary Feedwater Pumps, Inappropriate at Present Since Plant in Surveillance & Maint Status.Schedule for Response Will Be Provided When Status Changes ML20137F2541985-11-25025 November 1985 Forwards ALAB-106 Monthly Rept for Oct 1985,including Bechtel Nonconformance Repts,Quality Action Requests,Mgt Corrective Action Repts & Quality Audit Findings,Per 730323 Order ALAB-106 & Amend 1 to Cp.Svc List Encl ML20138J4431985-10-25025 October 1985 Forwards Monthly Rept for Sept 1985,per Memorandum & Order ALAB-106 & Amend 1 to Cp,Including Bechtel Nonconformance Rept,Quality Action Requests,Mgt Corrective Action Repts, Quality Audit Findings & B&W Repts of Nonconformity ML20138D0031985-10-14014 October 1985 Informs That Util Will Submit Schedule for Meeting Requirements of 10CFR50.62(d) Per Generic Ltr 85-06 Re QA Guidance for ATWS nonsafety-related Equipment When & If Project Reactivated ML20133F7581985-10-0808 October 1985 Informs of Plans to Physically Disable Equipment Installed in & About Evaporator Bldg to Serve Process Steam to Dow Chemical Co,Per 850925 Resolution.Equipment & Structures Abandoned Are non-Q.Related Correspondence ML20137Y7921985-09-30030 September 1985 Submits Quarterly Rept 49,per ALAB-106.No New Individuals Assigned to quality-related Duties.Const at Plant Shut Down on 840716.No Const Projected for Fourth Quarter 1985.Next Quarterly Rept Will Be Submitted by End of Dec 1985 ML20133A3141985-09-27027 September 1985 Forwards Review of Section 4.7 of Technical Evaluation Rept PNL-5600, Review of Resolution of Known Problems in Engine Components for Tdi Emergency Diesel Generators, Reflecting Views Re Crankshafts for 16-cylinder Engines ML20133H1261985-09-25025 September 1985 Forwards Bechtel Nonconformance Repts,Quality Action Requests,Mgt Corrective Action Repts & Quality Audit Findings Written or Closed During Aug 1985,per Condition of Memorandum & Order ALAB-106 ML20138S0731985-09-17017 September 1985 Advises That Addl Excavation Between Tank Farm & Auxiliary Bldg Will Be Conducted Per NRC 850826 Authorization. Excavation Needed to Provide Supplemental Cathodic Protection.Svc List Encl.Related Correspondence ML20133H8841985-09-16016 September 1985 Discusses Ee Kent Allegations Re Plant,Per Encl . Decision Reflected in NRC Should Be Reconsidered. B Garde & T Devine of Gap Unwilling to Testify for Kent.Kent & Counsel Unable to Produce Expert Witnesses ML20140G8331985-08-23023 August 1985 FOIA Request for ACRS Documents Re Facility ML20137F7061985-08-12012 August 1985 Forwards Listed Documents Written or Closed During Jul 1985, in Accordance w/730323 Memorandum & Order ALAB-106 & Amend 1 to Cp.Only Nonconformance Repts Encl ML20133L8331985-08-0909 August 1985 Forwards Attachment 1 to Revised Exhibit D of Revised Compliance Filing & Application for Authorization to Issue Securities.Plan Is Requirement of Agreements W/Banks to Restructure Outstanding Debt.Related Correspondence ML20132B1841985-07-19019 July 1985 Forwards Monthly Repts for May & June 1985 Per Condition of 730323 Memorandum & Order ALAB-106 & Amend 1 to Cp.Related Correspondence 1989-04-28
[Table view] Category:PUBLIC ENTITY/CITIZEN/ORGANIZATION/MEDIA TO NRC
MONTHYEARML20210S9971986-10-0202 October 1986 Requests Change in Facility Svc List Address to Ref Address. Related Correspondence ML20211E3271984-10-0101 October 1984 FOIA Request for All Documentation,Including Notes,Ltrs, Memoranda,Computer Printouts & Data Compilations Re Board Notification 84-149 Concerning Investigation Repts on Comanche Peak ML20101U5541984-06-15015 June 1984 FOIA Request for All Agency Records Generated in Connection W/Dg Eisenhut 840524 Request for Addl Info Re Structural Adequacy of Plant Diesel Generator Bldg ML20112E4681984-05-22022 May 1984 FOIA Request for Documents Re Meetings Between Members of Nrr,J Kane,H Singh,F Rinaldi & Others Re Resolution of Diesel Generator Bldg & Implementation of Recommendations or Conclusions from Brookhaven 831021 Rept ML20084K8631984-05-11011 May 1984 Forwards Intervenor B Stamiris Second Supplemental Proposed Finding & Conclusions of Law Re QA & Mgt Attitude Issues & cross-reference to Previously Filed Proposed Findings of Fact & Conclusions of Law ML20084Q3491984-05-10010 May 1984 Requests That J Keppler Respond to Listed Issues Re Evaluation of Facility Completion.Caseload Forecast Panel Evaluation of Plant,Taking Into Account Issues Discussed, Also Requested ML20084L6261984-05-10010 May 1984 Questions J Keppler Statement That Util Projected Schedule for Finishing Unit 2 by Dec 1986 Attainable & No Caseload Forecast Panel Evaluation Planned.Objective Caseload Forecast Panel Evaluation Requested ML20090K6941984-05-0202 May 1984 Expresses Belief That Intervenors Govt Accountability Project,Lone Tree Council & M Sinclair Represent Small Minority of Community Persons Not Wanting Plants Completed & Operating.Majority of People in Favor of Facility Operation ML20112D2991984-05-0202 May 1984 FOIA Request for Documents Re Insp of Auxiliary Bldg ML20084N3611984-05-0101 May 1984 Presents Differing View from M Sinclair Re Safety Concerns. Closing of Plant Would Result in 5,000 Lost Jobs & Create far-reaching Economic Hardship Throughout Community ML20090K7211984-04-30030 April 1984 Expresses Belief That Intervenors Govt Accountability Project,Lone Tree Council,M Sinclair & B Stamaris Represent Minority of Community Persons Not Wanting Plants Completed & Operating.Majority in Favor of Operation ML20084K6471984-04-30030 April 1984 Contends That Govt Accountability Project,Lone Tree Council, M Sinclair & Representatives of B Stamiris Do Not Represent Majority of Midland County Population ML20084M6381984-04-30030 April 1984 Contends That Intervenors Govt Accountability Project,Lone Tree Council,B Stamaris & M Sinclair Do Not Represent Midland County Community,As Intervenors Claim ML20090K7121984-04-30030 April 1984 Expresses Belief That Govt Accountability Project,Lone Tree Council,M Sinclair & Representatives of B Stamaris Do Not Represent Majority of Midland,Mi as Claimed ML20084K3711984-04-30030 April 1984 Contends That Govt Accountability Project,Lone Tree Council, M Sinclair & Representative of B Stamiris Do Not Represent Majority of Midland County Population ML20100F5011984-03-0606 March 1984 Supplemental FOIA Request for Four Categories of Documents, Including Trip Repts to Region III or Facility & Vaugh Index ML20087P0531984-01-30030 January 1984 Discusses Encl Newspaper Article Re QA Problems at Facility. Increase in Number of Inspectors at Plant Requested ML20080T6271984-01-17017 January 1984 Appeals Denial of FOIA Request for T Novak Notes Generated by or During Visit to Glen Ellyn,Il to Discuss Ofc of Special Cases Findings Re Facilities from Sept 1982 to Dec 1983 ML20083N2151984-01-0909 January 1984 FOIA Request for Documents Generated by Kane or Singh for Evaluation of BNL Rept Re Diesel Generator Bldg at Facility ML20084S1421984-01-0909 January 1984 FOIA Request for Documents Re Executive Notice 83-69 on Facilities ML20079Q6931983-12-30030 December 1983 Requests Cessation of Radioactive Matls Discharge Into Tittabawassee River.Synergistic Effect W/Radioactivity Increases Cancer Possibility ML20082N9291983-12-0505 December 1983 Forwards Stamiris Exhibit 140,consisting of Applicant Responses to Stamiris Interrogatories 14,28,31 & 19(a). Applicant Two Sets of Supplementary Responses Should Be Filed W/Aslb.Svc List Encl ML20086Q4011983-11-26026 November 1983 FOIA Request for Agency Records & Info Generated in Connection W/Or as Result of T Novak Visit to Region III Ofc to Discuss Ofc of Special Cases Findings on Facilities from Sept 1982 - Dec 1983 ML20080B2781983-11-26026 November 1983 FOIA Request for Records Generated in Connection W/Ta Rehm to Bp Garde Re Midland Caseload Forecast Panel ML20086Q2611983-11-26026 November 1983 FOIA Request for Documents Re 831025 Meeting Between Util & NRC Concerning Mgt Audit & Associated 10CFR2.206 Request ML20078R5091983-10-31031 October 1983 Commends Util Efforts to Develop Employee Assistance Program to Deal W/Employee Substance Abuse Problems.Pressure Should Be Placed on Remaining Contractors & Subcontractors to Develop Similar Programs ML20080S7061983-10-13013 October 1983 Expresses Concern Re Discrepancies in Const Completion Schedule.Public Meeting Warranted in Light of Varying Completion Dates ML20086J3781983-09-28028 September 1983 FOIA Request for IE 800103 Rept Re Review of Matl False Statement at Facilities,Associated & Supporting Records to Rept & Repts Prepared in Response ML20080J5801983-08-19019 August 1983 Requests Answer to Question Raised During 830811 Public Meeting by B Stamiris Re NRR Review of Const Completion Plan & Individuals Consulted.Appointment of Independent Geotechnical Consultant to Review Work Suggested ML20078K8791983-08-10010 August 1983 Appeals Denial of FOIA Request for Documents Re Caseload Forecast Panel 830419 Meeting on Plant Const.Denial Effectively Denied Bulk of Documents Requested ML20077J4501983-08-0808 August 1983 Requests Names of Review Team Members,Methodology & Plans for Public Participation Re Review of R Landsman Concerns Over Structural Adequacy of Diesel Generator Bldg ML20078G9471983-08-0808 August 1983 FOIA Request for All Records on re-review of Structural Adequacy of Diesel Generator Bldg Subsequent to May Testimony of R Landsman in ASLB Proceedings ML20082G3931983-08-0505 August 1983 FOIA Request for Records on 830615 Briefing of Commissioners Re Facilities ML20078K1741983-08-0505 August 1983 FOIA Request for Documents Submitted by Util for Consideration of Candidate Companies or Methodologies to Perform Const Implementation Overview of Const Completion Plan ML20078K8921983-07-11011 July 1983 FOIA Request for Documents Re Caseload Forecast Panel 830419 Meeting on Plant Const ML20077F3151983-06-22022 June 1983 Forwards Govt Accountability Project (Gap) Rept of Gap Investigation Into Region V/Nrr Effort on Former Bechtel Employee Allegations Re Welding Practices ML20071P8951983-06-0101 June 1983 Requests Info Re Total Number of Wells & Amount of Electricity Required to Operate Wells for Dewatering ML20024B0931983-05-31031 May 1983 Ack Receipt of Response Re Independent Audit of Facility. Truly Independent Audit Should Include Full Scope Overview of Completed Const Done by Third Party Rather than Util ML20076B0961983-05-16016 May 1983 FOIA Request for Matls Re Release of Draft Insp Rept to Util from Region III Dealing W/Startup Test Program for Facilities ML20023C5171983-04-21021 April 1983 Requests Assurance of Independent Agent to Perform Facility Audits,Per NRC 830419 Reinsp Order ML20069L1531983-04-19019 April 1983 Responds to Informal Discovery Questions Re Insp Repts, Deviation Repts,Attachment 10 Repts & Return Options in QA Sys.Containment Chipping Incident Was First Identified as Noncompliance by Region III During Oct-Nov Team Insp ML20090F1921983-04-18018 April 1983 Discusses Subcontractor Employee Concerns Re Unqualified Personnel at Plant Site in Jobs of Critical Importance to Safety,Poor Installation & Lack of Worker Qualification on Zack Design.Investigation Requested ML20024D7271983-04-0505 April 1983 FOIA Request for Documents Re Incineration of Radioactive Matls by Dow Chemical Co at Facilities ML20072S6431983-03-30030 March 1983 Supports Halting of Nuclear Legacy & Opposes Plant Opening Until Permanant Nuclear Waste Storage Method Devised ML20072M3921983-03-29029 March 1983 Requests to Make Limited Appearance Statement at 830329 OL Hearing ML20072M5911983-03-25025 March 1983 Supports OL Issuance ML20072M6371983-03-25025 March 1983 Voices Support for Startup of Facility ML20073E3811983-03-25025 March 1983 Expresses Outrage That Confirmed Items,Indicated in Tera Corp Re Independent Design Verification of HVAC Equipment Directly Affecting Control Room,Not Reported to Nrc.Details Should Be Provided to NRC & CPC at Same Time ML20072H6481983-03-25025 March 1983 Requests to Testify at 830329 Hearings ML20072T3481983-03-25025 March 1983 Ack Receipt of Re Tera Corp QA & Engineering Plans for Independent Design & Const Verification Program. HVAC Sys Adequacy Determination Methodology Requested.Info Distribution Requirements Should Be Clarified 1986-10-02
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GOVERNMENT ACCOUNTABluTY PROJECT Institute for Policy Studies 1901 Que Street. N.W., Washington. D.C. 20009 (202)234-9382 March 7, 1983 Mr. Darrell Eisenhut, Director Division of Licensing U. S. Nuclear Regulatory Commission Washington, D. C.
Dear Mr. Eisenhut:
On February 8,1983, the Government Accountability Project (GAP) attended two public meetings in Midland, Michigan on behalf of the LONE TREE COUNCIL, concerned citizens, and several former and current employees working on the Midland Nuclear Power Plant, Units 1 and 2. As you know, the large public turn-out for both the daytime meeting between Consumers Power and various Regional and Washington-based offices of the Nuclear Regulatory Comnission (NRC) and the evening session between the NRC and the general public included spirited debate and lengthy presentations. These .eetings, although highly beneficial to the education of the Michigan public about the nuclear facility being constructed in Midland, did not allow for the type of technical questions and detail about the Construction Completion Plan (CCP) in which GAP is particularly interested, l Therefore, I appreciate this opportunity to address a number of concerns that we have regarding issues presented at the public meeting and contained in i the detailed CCP submissions. In order to complete our own continuing analysis of the Midland project, I would hcpe that you can provide answers to and/or comments on the enclosed questions.
Pending further public meetings and detailed review of basic elemet.ts of the Construction Completion Plan, I assume that your verbal requests to Consumers Power (Consumers) management to " hold off" on making any commitments will be translated into a firm NRC directive. As you know, Consumers has had a history of micinterpretatiens and miscommunications in relation to many of the aspects I surrounding the Midland plant. The public understood quite clearly what your instructions were; if those have changed I suggest that you continue to express j those changes to the public through the appropriate local media representatives. I I. REQUESTS FOR FURTHER INFORMATION A. The relationship between the Washington NRC offices (NRR, DOL, etc.) l I
and the Regional management,and on-site Midland Special Team and Inspector.
It is unclear where the authority lines for approval of various elements of the Midland construction project are drawn. GAP investigators, staff and attorneys are continually getting unclear signals from the various regulation divisions as to who is making what decisions and when. Since it has been noted by the NRC staff itself that "[ Consumers] seems to possess the unique ability to search all factions of the NRC until they 8303210274 830314 PDR ADOCK 05000329
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f Mr. Darrell Eisenhut March 7, 1983 have found one that is sympathetic to their point of view - irregardless of the impact on plant integrity,"l/ it seems critical to establish once and for all the authority lines within the NRC that Consumers must re-spond to.
We are particularly concerned about the apparent transferring of responsibi-lity for the on-site inspectors and the Midland Special Section Team to the Regional Administration and Washington-based NRC officials. Although I am sure that you have read the testimony of Mr. Keppler, submitted to the Atomic Safety and Licensing Boarr', (ASLB) on October 29, 1983, and attuhed memorandum from the staff members that are more directly responsible for the Midland project, I have included them with this letter for y3ur renewed attention following the results of the Diesel Generator Building inspection. (Attachment #1.)
There have been a number of incidents within the last several months where Regional personnel (RIII team or on-site) have indicated one answer pertaining to construction work, and then other action was taken after approval from NRR. Several examples of this that are fairly recent are:
- 1. A February 8, 1983 conference call between Consumers, Bechtel and the NRC regarding the discussion of loading sequence for pier load test and background settlement readings did not include any Region III per-sonnel, most particularly Ross Landsman. Although I do not know the details of his exclusion, I am concerned that he was not a participant in the call, or in the decisionmaking process.
- 2. At the recent ASLB hearings NRR and RIII personnel were asked about the projected timeline for Consumers to approach the Feedwater Isolation Valve pit jacking work. RIII personnel seemed confident that work would not begin on this until at least late March or early April, yet work ac-tually was begun on the same day as the conversation, Febru=ry 17, 1983.
- 3. The NRC has taken a position that "no major discrepancies" have been found in the soils remedial work to date. Yet: (a) two cracks, in-cluding one 10 millimeters by 7 inches long, have been discovered in the i
valve pit.2/ (b) A February 15, 1983 memorandum from R. B. Landsman to R. F. Warnick identifies three specific concerns since the beginning of the underpinning work that -- to gap -- indicate serious flaws in the perception of Consumers about the seriousness of the work they are en-gaged in. These include craftworkers not receiving the required amount of training, argummnts with Consumers about techniques that show a pri-ority to deadlines instead of quality, and a major flaw in the Stone &
Webster independent assessment. (Attachment #2.)
Given our experiences with the NRC inspection ef forts, I am particularly anxious to have the on-site /special section team members have as much direct input into the review / licensing process as possible. Although I do not always agree with their decisions or their actions, I am more comfortable with their version of the facts on the Midland site.
1/ Memorandum from R. J. Cook to R. F. Warnick, July 23, 1982.
2/According to the Midland Daily News, February 24, 1983, Construction Technology had performed an " independent" analysis of the cracks before the Midland team even had the opportunity to complete its own investigation or review.
Mr. Darrell Eisenhut March 7, 1983 B. The guidelines and timetable by which the independent third-party auditor will be chosen.
It is not at all clear what guidelines, if any, your office intends to employ in the review or monitoring of the selection process for the third-party auditor of the Midland facility. We are extremely distressed at the way th2t both Stone & Webster (S&W) and the TERA Corporation were approved by your office. We feel that the approval was more by default than by aggressive review of the proposals, contracts and criteria as presented to the NRR office. Further, it is very clear to us that the Regional per-sonnel involved in the initial contact with the Stone & Webster organization gave the impression that S&W's on-site activities were authorized. Even if that impression was only technically incorrect, it is a serious breach of public trust by the Regional staff.
We recommend that your office adopt the prudent position that Consumers follow the nominating process used for Diablo Canyon's independent assessment. Al-though Midland's problems have not yet reached the stage of major public controversy such as Diablo or Zimmer, it is clearly evident that the sensationalism of the prob-lems with the soils settlement and the cost of the Midland facility will move it more into the public eye as it reaches completion.
If there was any doubt as to the active interest of the Midland community in regards to the Midland facility, the February 8, 1983 public meeting should have dispelled that misconception. The community surrounding the plant is extremely attentive to the issues and concerns raised by the nuclear facility -- the debate will continue. To choose another, more congenial approach to identifying the firm that will be responsible for the completion of the plant would be a grave mistake in our opinion.
C. The plans that the NRC staff has made to determine the actual "as built" condition of the rest of the buildings and systems on the Midland site in the wake of the findings in the Diesel Generator Building inspection.
The aggressive efforts of the DGB inspection were a solid step forward in determining the extent of the problems at the Midland facility. However, it is unfortunate that the inspection did not expand to other buildings. The public must have confidence that all the problems have been identified, as well as basic factors about how the problems were caused and how they are going to be fixed if there is ever any hope for rest sing faith in the safety of the plant.
D. The methodologies that are to be employed in the technical review of generic problems on the site, such as determining the accuracy of quality control / quality assurance documentation made suspect by the flawed process, and the training and recertification of all the welders who were trained by Photon Testing, Inc.
The two items mentioned above, as well as problems that have resulted from the ZACK corporation, unidentifiable electrical cables, untrained quality control inspectors, material traceability inaccuracies, etc., must be ad-dressed in any workplan to identify the problems on the site. It is not clear whether the NRC staff, the NRR staff or the independent auditor is to
Mr. Darrell Eisenhut March 7,1983 be responsible for identification of all of the problems prior to the start up of construction activities on the site.
E. The resolution of what is and what is not "Q" work in regards to the soils remedial work should ba handled in a public forum.
The "Q" debate between NRC staff members - including Regional management and the on-site inspectors - as well as between the NRR and NFC staff has been a topic of considerable concern to us. The resolution of these issues has critical implications for the rest of the soils work project. Because it has been a major item of discussion in the hearings currently underway in Midland, as well as among the staff, we believe that it would be beneficial for you to receive the position that concerned citizens have taken. I have suggested that those residents who have been following this issue very closely prepare a position statement for your office on the "Q" soils issue.
II. COMMENTS CONCERNING THE THIRD-PARTY REVIEWS It is our understanding that there are currently three separate independent audits being conducted (or considered) at the Midland facility. These are:
(1) The Stone and Webster Corporation's third party independent assessment of the soils remedial work activities. A February 24, 1983 letter from Mr. Keppler to Consumers outlines the scope of the S&W assessment. It significantly broadens the original scope of S&W's review. As a result of the expansion of S&W's responsibilities, and apparently a close monitoring of their work by the RIII team, Mr. Keppler approved the release of additional underpinning work for construction. We request the following documents in reference to the S&W approval:
- a. The criteria that NRC officials used to judge the adequacy of the initial S&W Work.
- b. The methodologies which the S&W personnel are utilizing to provide their QA overview and assessment of the design packages, inspector requalification and certification program, and training programs.
- c. The details of the expanded work contract which will assess the actual underpinning work on safety-related structures.
I (2) The Independent Design Verification and vertical slice review being performed by the TERA Corporation. We have recently received the detailed Engineering Program Plan from TERA on the Midland Project. Although extremely impressed with some of TERA's procedures, organization and structure there are a number of areas which raise serious questions.
l a. What specific reporting procedures does TERA have to follow I in regards to findings, corrective action reports, controversies among their own staff over issues of noncompliance or questionable accuracy, and internal reporting. Figure 1-1 clearly indicates that
Mr. Darrell Eisenhut March 7, 1983 TERA intends to notify the NRC at the same time as Consumers, but at the February 8 meeting there was a very clear example of that not actually happening because of miscanmunication between TERA and the N RC .
.b. What is the difference between a Corrective Action Report as referenced in the QA Audit Procedures and a Non-Conformance Report as required by 10 CFR Part 21. ( A similiar " informal" nonconformance reporting procedure at the William H. Zimmer plant caused innumerable problems for both the NRC and the licensee.) We would ask that the C.A.R.'s be forwarded to the NRC, or preferably be written up as NCR's immediately i upon identification of an item of non-compliance. Any discretion between informal and formal procedures should be limited to the judgement of the NRC.
- c. What is the intent and scope of the " EXCEPTIONS" referred to in Part 1.1 of the plan?
- d. Who controls the Administrative decision making process between Consumers and TERA over specific points of technical controversy?
- e. What documents will be forwarded to the NRC in support of the various findings - whether favorable or unfavorable - during the course of the two vertical slice reviews?
(Further comments and questions about the TERA plan will be forthcoming under separate cover when we are able to finish our review.)
(3) The overall independent third-party assessment. Instead of providing your office with our detailed ( and lengthy) analysis of the flaws and shortcomings of the CCP as introduced by Consumers in the January 10, 1983 letter and the public meeting we have decided to wait for further detail to be provided by Consumers on their plan. We are somewhat anxious about this, as we understand that there have been detailed discussions going on between the NRC and Consumers. As you know , similar events at the Zimmer plant led to increased public skepticism and an even greater loss of confidence in the NRC process.
We strongly encourage your office and the Regional Administrator to consider the process of choosing a third-party auditor as important and delicate as was the process at Zimmer. If there is to be a " closed door" approach to 2
Midland we request that you articulate that at this time. If you do not we will assume that the NRC intends to follow a fully public process of nomination and selection.
1 Thank you for your time, we look forward to answers to our questions in the near future.
Sincerely, BILLIE PIRNER GARDE Director, Citizens Clinic
MM
. Attachment 3 mcm n 10/29/82 UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of )
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CONSUMERS POWER COMPANY ) Docket Hos. 50-329 OM &.0L 50-330 OM & OL l
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(Midland Plant, Units 1 and 2)
TESTIMONY OF JAMES G. KEPPLER WITH RESPECT TO QUALITY ASSURANCE Q.1 Please state your name and position.
A.1 My name is James G. Keppler. I am the Regional Administrator of the NRC's Region III office. My professional qualifications have been previously submitted in this proceeding.
Q.2 Please state the purpose of your testimony.
A.2 In my testimony to the Board in July 1981, I testified on the more significant quality assurance problems that had been experienced in connection with the Midland project and the corrective actiuns taken by Consumers Power Compary and its contractors. I stated that, while many significant quality assurance deficiencies have been identified, it was our conclusion that the problems experienced were not indicative of a breakdown in the implementation of the overall quality assurance program.
I also noted that while deficiencies have occurred which should have been identified earlier, the licensee's QA program had been effective in the ultimate identification and subsequent correction of these deficiencies.
Furthermore, I discussed the results of Region III's special quality
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', assurance inspection of May 18-22, 1981, which reflected favorably on the effectiveness of the Midland Project Quality Assurance Department, which was implemented in August 1980. The thrust of sqy testimony was that I had confidence that the licenseee's QA program both for the remedial soils work and for the remainder of construction would be implemented effectively.
It was not until April 1982 that I was made aware of additional problems with the effectiveness of implementation of the QA program. The problems came to my attention as a result of the April 1982 meeting .
between NRC and Consumers Power Company to discuss the Systematic Assessment of Licensee Performance (SALP) report for Midland and the discussions held within the Staff in preparation for that meeting. The-SALP report addressed the Midland site activities for the period July 1, 1980 through June 30, 1981. During this period, the soils work activities were rated pategory III. the lowest acceDtable rating given by the SALP reviaw nrnrats-During the April 1982 public r.eetir.g on the SALP findingr, Mr. Ronald J. Cook, NRC Senior Resident Inspector at Midland, stated that as of that date he would rate Consumers Power Company soils work ,
Category III, the same rating as it received for the SALP period. He had similar comments on other work activities. Based on my Julv 1981 l
tac +imony, I expected Consumers Power Company would be rated a Category I or II in the soils area, as well as other areas, by April 1982, and I was certain that my July 1981 testimony had left that l
l impression with the Board.
O
On the basis of the above, I decided it was appropriate to supplement my July 1981 testimony.
Q.3 What actions have been taken by Region III in response to the information contained in your previous answer?
A.3 I met with the NRC supervisors and inspectors who had been closely involved with Midland during the past year to get a better understanding -
of their concerns. As a result of these meetings, I roncluded that the problems being exoerienced were ones of orogram imolementation rather than problems with the OA orngram itself. -
Because of my concerns, I requested the Region III Division Directors most actively involved with the Midland inspection effort to try to identify the fundamental problems and their causes'and to provide me with their recommendations to resolve these problems. They provided me with an assessment of technical and communications problems experienced by the licensee and made recommendations with respect to the licensee's workload, institution of independent verification programs, and QA organization realignments. This response is included as
{Attachmg' (Memorandum from Norelius and Spessard to Keppler, dated June 21, 1982) ~
In July 19R2 i recognized that more NRC resnurcac wara gning tn hayg to be provided in overseeing activities at Midland and created the Offica of Soecial cacae Intr) to manage NRC field activities at Midland (and Zimmer). Mr. Robert Warnick was assigned Acting Director. A Midland Section was formed comprised of a Section Chief, two regional based
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_4 inspectors, and two resident inspectors (the second resident inspector reportedonsiteinAugust1982).
Before meeting with representatives of the Office of Nuclear Reactor Regulation (NRR) to discuss options for NRC action in connection with Midland, Mr. Warnick requested Senior Resident Inspector Cook t6 provi' de
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a summary of the indicators of questionable licensee performance. .
Mr. Cook provided a memorandum documenting a number of problems and concerns,whichisincludedasNttachmentB.I(MemorandumR.J.Cookto R. F. Warnick, dated July 23,1982) ,
Mr. Warnick and I met with representatives of NRR on 21miv 25, 1982 to discuss Consumers Power Company's performance. This meeting resulted in recommended actions concerning third oarty reviews of past work and ongoing work which are described in Attachment C. (Memorandum, Warnick to Files, dated August 18,1982)
Following the meeting with NRR, Mr. Warnick discussed with members of the Midland Section positions concerning third party reviews developed at the meeting with ;iRR. The memhpes of the Midland Section were not convinced the recommended actions were the hae+ enintinn. since the .
causes of the problems had not been clearly idantified. Instead, they proposed a somewhat different approach consisting of an augmented NRC inspection effort coupled with other actions to strengthen the licensee's QA/QC organization and management. This proposal is documented in Attachment D. (Memorandum, Warnick to Keppler, dated August 18,1982)
In response to these suggestions, Mr. Darrell Eisenhut, Director, Division of Licensing, NRR, and I met with top corporate management representatives from Consumers Power Company on August 26 m 1982, and
a
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_again on_ September 2,1982, to discuss NRC's concerns and possible recommended solutions. Because it was not clear to the NRC staff why Consumers Power was having difficulty implementing their QA program,'we requested them to develop and propose to the NRC, actions which would be implennted to improve the QA program implementation and, at the same -
time, provide confidance that the program was being implemented prope'rly. ,
Consumers Power subsequently preseated its proposal for resolution of the identified problems in two letters dated Seotember 17. 1982, which are included as Attachments E and F. (Letters Cook to Keppler and Denton, dated September 17,1982)
These oroonsals were lackino in detail . carticularly with resoect t_o_
t_h e plant independent review orograms. Following a meeting between NRC staff members and Consumers Power Company in Midland on September 29, 1982, Consumers Power submitted a detailed plan to NRC on October 5,1982 concernino the planned third party activities (Attachment G). Consumers
, Power Company's proposals (Attachments E, F, and G)/ are currently under rev4w by NRC.
l Q.4 Do you believe that soils remedial work at the Midland plant shou?d be permitted to continue?
A.4 Yes. This portion of my testimony discusses what has been acommplished and what will be accomplished in the near future to provide a basis for continued construction at the Midland plant.
We expect that Consumers Power Company will have independent third party' assessments of the Midland construction project. These assessments will include reviews of safety related work in progress and of completed
work activities. The scope of, and contractors for, the third party assessments are presently under review by the NRC staff.
Along with the independent third party reviews, the Office of Special Cases, Midland Section, has expanded its inspection effort and has taken actions to assure compliance with the Licensing Board's -
April 30,1982 requirement that the remedial soils work activities receive prior staff approval. Specifically, the Midland Section has (1) established a procedure for staff authorization of work activities proposed by Consumers Power Company (Attachment H, Work Authorization Procedure, dated August 12,1982), and CLl has caused a stop of the remedial soils work on two occasions once in August 1982 and again in September 1982 (Attachments I and J, Confirmatory Action Letters dated August 12, 1982, and September 24, 1982, respectively). The Section has also startad an insoection of the work activities which have been accomplished by Consumers Power Company in the last twelve months in the
_ diesel genprator building;, the service water buildina and other safety _
related arsas. This inspection was started during October 1982 and is continuing as of the filing date of this testimony.
Based upon (1) the third party assessments of the plant which will be performed, (2) the increased NRC inspection effort, and (3) the work authorization controls by the NRC, I believe that soils remedial work at the Midland plant may continue. As demonstrated by the previous stop-work effected in the remedial soils area, the staff will taka whatever action is neraccary tn assure that construction is in accordance _
with applicable reuoirements and standards.
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