|
---|
Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARL-99-201, Comment Supporting Proposed Rules 10CFR50 & 72 Re Reporting Requirements for Nuclear Power Reactors.Fpl Followed Development of NEI Comments on Rulemaking & Endorse These Comments1999-09-0707 September 1999 Comment Supporting Proposed Rules 10CFR50 & 72 Re Reporting Requirements for Nuclear Power Reactors.Fpl Followed Development of NEI Comments on Rulemaking & Endorse These Comments ML20206H4441999-05-0303 May 1999 Comment Opposing Proposed Rules 10CFR170 & 10CFR171 Re Rev of Fy 1999 Fee Schedules ML20205J0461999-04-0101 April 1999 Comment Supporting Proposed Draft Std Review Plan on Foreign Ownership,Control & Domination.Util Supports Approach Set Forth in SRP Toward Reviewing Whether Applicant for NRC License Owned by Foreign Corp.Endorses NEI Comments ML20205B3771999-03-16016 March 1999 Comment Opposing PRM 50-64 Re Liability of Joint Owners of Npps.Util Endorses Comments of NEI & Urges Commission to Deny Petition for Rulemaking ML17355A2511999-03-0909 March 1999 Comment Supporting Amend to Policy & Procedure for NRC Enforcement Actions Re Treatment of Severity Level IV Violations at Power Reactors.Util Also Endorses Comments of NEI on Revs L-98-306, Comment Opposing Proposed Rule 10CFR50 Re Requirements for Monitoring Effectiveness of Maint at NPP1998-12-10010 December 1998 Comment Opposing Proposed Rule 10CFR50 Re Requirements for Monitoring Effectiveness of Maint at NPP L-98-272, Comment on Draft Reg Guide DG-4005, Preparation of Suppl Environ Repts for Applications to Renew Nuclear Power Plant Operating Licenses1998-10-28028 October 1998 Comment on Draft Reg Guide DG-4005, Preparation of Suppl Environ Repts for Applications to Renew Nuclear Power Plant Operating Licenses L-98-252, Comment Supporting Proposed Rules 10CFR2 & 51 Re Streamlined Hearing Process for NRC Approval of License Transfers.Fpl Also Endorses Comments of NEI on Proposed Rule1998-10-0606 October 1998 Comment Supporting Proposed Rules 10CFR2 & 51 Re Streamlined Hearing Process for NRC Approval of License Transfers.Fpl Also Endorses Comments of NEI on Proposed Rule L-98-248, Comment Supporting Statement of Policy on Conduct of Adjudicatory Proceedings.Fpl Also Endorses Comments of NEI on Policy Statement1998-10-0505 October 1998 Comment Supporting Statement of Policy on Conduct of Adjudicatory Proceedings.Fpl Also Endorses Comments of NEI on Policy Statement ML17229A7551998-05-29029 May 1998 Comment Opposing Proposed Communication Re Augmented Insp of Pressurized Water Reactor Class 1 High Pressure Safety Injection Piping ML20217P6691998-04-0202 April 1998 Comment Opposing Proposed Rule 10CFR50 Re Industry Codes & Standards,Amended Requirements ML17354A8741998-03-27027 March 1998 Comment Opposing Proposed Generic Communication,Lab Testing of nuclear-grade Activated Charcoal (M97978) ML20216C1991998-03-0303 March 1998 Comment on Proposed Generic Communication Re Yr 2000 Readiness of Computer Sys at Npps.Util Endorses Nuclear Energy Inst Comments.Comments Submitted on Behalf of Plant ML17354B1061998-02-26026 February 1998 Submits Listed Requests for NRC EA Per 10CFR2.206 to Modify OLs for All FPL NPPs Until Licensee Can Demonstrate Open Communication Channels Exist Between NRC & Licensee.Also Requests EA to Address Alleged Discriminatory Practices L-97-269, Comment on Pr 10CFR55, Initial Licensed Operator Exam Requirements1997-10-21021 October 1997 Comment on Pr 10CFR55, Initial Licensed Operator Exam Requirements L-97-265, Comment on Proposed Rules 10CFR50 & 73, Frequency of Reviews & Audits for Emergency Prepardness Programs Safeguards Contingency Plan & Security Programs for Np Reactors1997-10-14014 October 1997 Comment on Proposed Rules 10CFR50 & 73, Frequency of Reviews & Audits for Emergency Prepardness Programs Safeguards Contingency Plan & Security Programs for Np Reactors ML20217M0751997-08-13013 August 1997 Licensee Response to Supplemental 10CFR2.206 Petitions Filed by Tj Saporito & National Litigation Consultants.Petition Provides No Basis for Extraordinary Relief Requested. Petition Should Be Denied.W/Certificate of Svc ML17354A5181997-05-27027 May 1997 Licensee Response to 10CFR2.206 Petition Filed by Tj Saporito & National Litigation Consultants.Petition Should Be Denied,Based on Listed Info.W/Certificate of Svc ML17354A5631997-05-17017 May 1997 Second Suppl to 970423 Petition Requesting Enforcement Against Listed Util Employees by Imposing Civil Penalties, Restricting Employees from Licensed Activities & Revoking Unescorted Access ML17354A5611997-05-11011 May 1997 Suppl to 970423 Petition Requesting Enforcement Action Against Util Former Executive Vice President,Site Vice President & Maint Superintendent by Imposing Civil Monetary Penalty ML17354A5651997-04-23023 April 1997 Requests That NRC Take EA to Modify,Suspend or Revoke FPL Operating Licenses for All Four Nuclear Reactors Until Licensee Can Sufficiently Demonstrate to NRC & Public That Employees Encouraged to Freely Raise Safety Concerns ML20137R4681996-12-10010 December 1996 Transcript of 961210 Proceeding in Atlanta,Ga Re Predecisional EC Re Facility Activities.Pp 1-151.Supporting Documentation Encl L-96-137, Comments on Proposed Rule 10CFR50, Reliability & Availability Info for Risk-Significant Sys & Equipment1996-06-0606 June 1996 Comments on Proposed Rule 10CFR50, Reliability & Availability Info for Risk-Significant Sys & Equipment IR 05000335/19960031996-03-0808 March 1996 Transcript of 960308 Hearing in Atlanta,Ga Re NRC Insp Repts 50-335/96-03 & 50-389/96-03.Pp 1-101.Supporting Documentation Encl ML17228B3551995-12-0404 December 1995 Comment Opposing Proposed Generic Communication, Boraflex Degradation in SFP Storage Racks. L-95-270, Comment Supporting Proposed Rules 10CFR2,50 & 51 Re Decommission of NPPs1995-10-15015 October 1995 Comment Supporting Proposed Rules 10CFR2,50 & 51 Re Decommission of NPPs ML17228B2841995-09-12012 September 1995 Comment Supporting Rg DG-1043,Rev 2 to Rg 1.49, NPP Simulation Facilities for Use in Operator License Exams. ML17228B2221995-07-13013 July 1995 Comment Supporting Proposed Generic Communication 10CFR50.54 Re Process for Changes to Security Plans W/O Prior NRC Approval L-95-199, Comment Supporting Proposed Rule 10CFR50 Re Changes in Frequency Requirements for Emergency Planning & Preparedness Exercises from Annual to Biennial1995-07-10010 July 1995 Comment Supporting Proposed Rule 10CFR50 Re Changes in Frequency Requirements for Emergency Planning & Preparedness Exercises from Annual to Biennial ML17353A2471995-06-27027 June 1995 Comments on Proposed Rule Re, Review of NRC Insp Rept Content,Format & Style. ML17228B2101995-06-27027 June 1995 Comment Opposing Proposed GL Relocation of Pressure Temp Limit Curves & Low Temp Overpressure Protection Sys Limits. ML20134N0421995-01-18018 January 1995 Partially Deleted Transcript of Interview W/J Kunkel on 950118 at Jensen Beach,Fl.Pp 1-40 ML20134N0621995-01-18018 January 1995 Partially Deleted Transcript of Interview W/A De Soiza on 950118 at Jensen Beach,Fl.Pp 1-40.Supporting Documentation Encl ML20134N0281995-01-18018 January 1995 Partially Deleted Transcript of Interview W/Eo Poarch on 950118 at Jensen Beach,Fl.Pp 1-78 ML20134N0331995-01-18018 January 1995 Partially Deleted Transcript of Interview W/D Jacobs on 960118 in Jensen Beach,Fl.Pp 1-50 ML20134N0301995-01-18018 January 1995 Partially Deleted Transcript of Interview W/H Fagley on 950118 at Jensen Beach,Fl.Pp 1-63 ML17228A9851995-01-17017 January 1995 Comment Supporting Proposal to Issue GL Providing Guidance for Determining When analog-to-digital Replacement Can Be Performed Under Requirements of 10CFR50.59 L-94-325, Comment on Proposed Rule 10CFR50 Re Fracture Toughness Requirements for LWR Pressure Vessels.Endorses NEI Comments & Recommendations1994-12-29029 December 1994 Comment on Proposed Rule 10CFR50 Re Fracture Toughness Requirements for LWR Pressure Vessels.Endorses NEI Comments & Recommendations L-94-329, Comment Supporting Proposed Rule 10CFR2 Re Policy Statement Rev, Policy & Procedure for Enforcement Actions; Policy Statement,Discrimination1994-12-22022 December 1994 Comment Supporting Proposed Rule 10CFR2 Re Policy Statement Rev, Policy & Procedure for Enforcement Actions; Policy Statement,Discrimination L-94-304, Comment Supporting Proposed GL Re Reconsideration of Nuclear Power Plant Security Requirements for Internal Threat1994-12-0202 December 1994 Comment Supporting Proposed GL Re Reconsideration of Nuclear Power Plant Security Requirements for Internal Threat ML17228A8751994-10-0303 October 1994 Comment Opposing Proposed Rule Re Pilot Program for NRC Recognition of Good Performance by Nuclear Power Plants ML20072S5221994-08-25025 August 1994 Comment Opposing Petition for Rulemaking 9-2 Re Request for NRC to Revise Regulations of 10CFR9 to Provide Public Access to Info Held by Licensees But Not Submitted to NRC L-94-206, Comment Opposing Proposed Change to Rule 10CFR26, Consideration of Changes to Fitness for Duty Requirements. Util Wants Current Scope of Drug Testing in 10CFR26 to Be Retained & Current Trustworthiness Programs to Be Improved1994-08-0909 August 1994 Comment Opposing Proposed Change to Rule 10CFR26, Consideration of Changes to Fitness for Duty Requirements. Util Wants Current Scope of Drug Testing in 10CFR26 to Be Retained & Current Trustworthiness Programs to Be Improved ML20072B3251994-08-0101 August 1994 Comment Opposing Proposed Rule 10CFR26 Re Change Consideration of fitness-for-duty Requirements L-94-150, Comment Supporting Petition for Rulemaking PRM-50-60 Re Amend to 10CFR50.54 by Changing Frequency W/Which Licensees Conduct Independent Reviews of Emergency Preparedness Program from Annually to Biennially1994-06-17017 June 1994 Comment Supporting Petition for Rulemaking PRM-50-60 Re Amend to 10CFR50.54 by Changing Frequency W/Which Licensees Conduct Independent Reviews of Emergency Preparedness Program from Annually to Biennially ML17228A3121993-09-24024 September 1993 Answer of Florida Municipal Power Agency to FPL Response in Opposition to Petition for Enforcement Action. W/Vols I & II of Apps ML17228A2981993-08-27027 August 1993 Response of Florida Power & Light Co in Opposition to Petition for Enforcement Action. ML17309A7141993-07-0202 July 1993 Petition of Florida Municipal Power Agency for Declaration & Enforcement...Antitrust Licensing Conditions & to Impose Requirements by Order. W/Vols I & II of Apps to Petition ML20045F2091993-06-24024 June 1993 Comment on Proposal Re Radiological Criteria for Decommissioning NRC-licensed Facilities.Supports Proposed Criteria ML17349A8161993-04-22022 April 1993 Comment Endorsing NUMARC Comments Re Proposed Generic Communication, Availability & Adequacy of Design Bases Info. 1999-09-07
[Table view] Category:PLEADINGS
MONTHYEARML17354B1061998-02-26026 February 1998 Submits Listed Requests for NRC EA Per 10CFR2.206 to Modify OLs for All FPL NPPs Until Licensee Can Demonstrate Open Communication Channels Exist Between NRC & Licensee.Also Requests EA to Address Alleged Discriminatory Practices ML20217M0751997-08-13013 August 1997 Licensee Response to Supplemental 10CFR2.206 Petitions Filed by Tj Saporito & National Litigation Consultants.Petition Provides No Basis for Extraordinary Relief Requested. Petition Should Be Denied.W/Certificate of Svc ML17354A5181997-05-27027 May 1997 Licensee Response to 10CFR2.206 Petition Filed by Tj Saporito & National Litigation Consultants.Petition Should Be Denied,Based on Listed Info.W/Certificate of Svc ML17354A5631997-05-17017 May 1997 Second Suppl to 970423 Petition Requesting Enforcement Against Listed Util Employees by Imposing Civil Penalties, Restricting Employees from Licensed Activities & Revoking Unescorted Access ML17354A5611997-05-11011 May 1997 Suppl to 970423 Petition Requesting Enforcement Action Against Util Former Executive Vice President,Site Vice President & Maint Superintendent by Imposing Civil Monetary Penalty ML17354A5651997-04-23023 April 1997 Requests That NRC Take EA to Modify,Suspend or Revoke FPL Operating Licenses for All Four Nuclear Reactors Until Licensee Can Sufficiently Demonstrate to NRC & Public That Employees Encouraged to Freely Raise Safety Concerns ML20082G8931991-08-0202 August 1991 Licensee Opposition to Petition for Hearing & Leave to Intervene.* Hearing Re Notice of Violation & Proposed Imposition of Civil Penalty Re Facility.Petition Should Be Denied Due to Listed Reasons.W/Certificate of Svc ML20245J3891989-06-16016 June 1989 Intervenor Appeal of Initial Decision (Authorizing Spent Fuel Pool Reracking).* Appeals Board Decision Re Issues Surrounding Use of Boraflex in high-density Storage Racks.W/ Certificate of Svc ML20236C3361989-03-0707 March 1989 NRC Staff Motion for Extension to File Proposed Finding.* Proposed Findings Will Be Served on Parties & Board on 890320.W/Certificate of Svc ML20236A3651989-03-0707 March 1989 NRC Staff Motion for Extension to File Proposed Finding.* Proposed Findings Will Be Served on Parties & Board on 890320.Certificate of Svc Encl.Served on 890310.Granted for Board on 890309 ML20235V2091989-02-25025 February 1989 Licensee Motion for Transcript Corrections.* Util Hereby Moves Board to Accept Attached Proposed Transcript Corrections for Hearing in Proceeding Held on 890124-26. W/Certificate of Svc ML20206J6501988-11-16016 November 1988 NRC Staff Motion on Behalf of Parties for Mod of Schedules.* Requests Direct Written Testimony of Witnesses Presently Scheduled to Be Filed on or Before 881122 Now Be Filed on or Before 881220.Certificate of Svc Encl ML20154Q0261988-09-23023 September 1988 Intervenor Response to Licensee Motion for Summary Disposition of Intervenor Contention 6.* ML20154Q0131988-09-23023 September 1988 Intervenor Response to Licensee Motion for Summary Disposition of Intervenor Contention 3.* ML20154Q0301988-09-23023 September 1988 Intervenor Response to Licensee Motion for Summary Disposition of Intervenor Contention 7.* Certificate of Svc Encl ML20196A7641988-06-17017 June 1988 Response of NRC Staff to Motion of Petitioner for Time Extension.* NRC Not Opposed to Reasonable Time Grant of 30 Days for All Deadlines.Extension Helpful to Petitioner in Preparing Discovery Request.Certificate of Svc Encl ML20155F7881988-06-10010 June 1988 Licensee Opposition to Intervenor Motion for Amend of Hearing Schedule.* Intervenor Request to Modify Hearing Schedule by Extending Each Deadline by 90 Days Unwarranted & Should Be Denied.W/Certificate of Svc ML20155C6621988-06-0707 June 1988 Licensee Motion for Oral Argument.* Requests Oral Argument Be Granted in Support of Util 880509 Notice of Appeal of ASLB 880420 Memorandum & Order Granting Request for Hearing & Petition for Leave to Intervene ML20151W6191988-06-0303 June 1988 Petitioner Response to Licensee Appeal from Board Memorandum & Order Granting Petition to Intervene,Request for Hearing & Contentions.* Appeal Should Be Denied ML20151W6081988-06-0303 June 1988 Motion for Amend of Hearing Schedule.* Requests 90-day Extension for Hearing Schedule Deadlines Based on Intervenor full-time Job & Other Work Activities That Severely Interfere W/Meeting Schedule ML20197E0761988-05-23023 May 1988 Motion of NRC Staff for Extension of Time Equal to Time Extended to Petitioner.* Extension Until 880607 to Respond to Licensee Appeal Requested,Per 10CFR2.714a.Licensee & Petitioner Do Not Oppose Request.W/Certificate of Svc ML20154H8221988-05-20020 May 1988 Request for Postponement of Deadline for Submission of Brief for Addl 14 Days.* ML20150C9951988-03-14014 March 1988 Licensee Opposition to Petitioner Request for 92-day Postponement of Prehearing Conference.* C Rich Had Reasonable Amount of Time to Prepare for Prehearing Conference.Certificate of Svc Encl ML20150C5781988-03-0909 March 1988 Request for Postponent of Hearing & Oral Argument for Addl 90 Days.* Petitioner Requests Extension to Prepare for Scheduled Hearing ML20195J1201988-01-0202 January 1988 Request for Extension of Time in Which to File Request for Hearing & Petition for Leave to Intervene.* Extension Until 880212 Requested Due to Lack of Access to Relevant Documents During Nonbusiness Hours.Served on 880120 ML20236N7951987-11-0909 November 1987 NRC Staff Response to Ltr Hearing Request by C Rich.* Intervention Should Be Denied Unless Rich & Other Petitioners Amend Request to Cure Defects W/At Least One Admissible Contention.Certificate of Svc Encl ML20236L7941987-11-0404 November 1987 Licensee Answer in Opposition to Request for Hearing.* Opposes C Rich 870930 Request for Public Hearing Re Proposed Amend to License to Increase Spent Fuel Storage Capacity. W/Notices of Appearance of Counsel & Certificate of Svc ML20207N6691987-01-0909 January 1987 Licensee Response to Supplemental Request for Hearing.* Responds to J Pakavitch 861106 Request for Hearing.Request Deficient as Petition to Intervene & Should Be Denied. Certificate of Svc Encl ML20212D6031986-12-16016 December 1986 Response of the NRC Staff to the Ltr of Eric Beutens.* Beutens Ltr Supporting J Paskovitch 861202 Request for Public Hearing Fails to State Requisite Interest & Untimely Filed.Certificate of Svc Encl ML20211N0541986-12-10010 December 1986 Request for Hearing Re Commission Fulfillment of Purpose for Being,Concerning Spent Fuel Transfer Amend.Related Correspondence ML20214X2741986-12-0808 December 1986 Response Opposing J Paskavitch Request for Hearing Re Util Proposed Amend to License NPF-16,transferring Unit 1 Spent Fuel Pool to Unit 2.Request Does Not Supply Min Info & Should Be Denied.Certificate of Svc Encl ML20214Q7321986-12-0101 December 1986 Response Opposing J Paskavitch Request for Hearing Re Spent Fuel Transfer from Unit 1 to Unit 2.Notices of Appearance & Certificate of Svc Encl ML20041F6671982-03-10010 March 1982 Withdrawal of 780828 Request That Commission Institute Section 105a Proceeding Against Util.Fl Cities Has Settled All Differences W/Util.Certificate of Svc Encl ML20041F0421982-03-10010 March 1982 Joint Motion to Withdraw Fl Cities Intervention,Dismiss & Terminate Proceedings & Vacate ASLB 811211 Memorandum & Order.Settlement Moots Dispute Between Fl Cities & Util. Certificate of Svc Encl ML20040C0581982-01-19019 January 1982 Motion to Extend Time Until 820126 for Parties to Reply to Objections to ASLB 811211 Memorandum & Order.Fl Cities Objections Were Not Received Until 820115 Due to Severe Weather.Certificate of Svc Encl ML20039G5481982-01-14014 January 1982 Motion to Incorporate by Ref Re Bathen 760414 Affidavit & 760804 Supplemental Affidavit.Affidavits Referenced in Re Bathen 820114 Affidavit.Certificate of Svc Encl ML20040A4151982-01-13013 January 1982 Amicus Curiae Brief & Proposed License Conditions,Filed Per ASLB 810805 & 1211 Memoranda & Orders.Util Should Not Be Allowed to Deny Competitors Access to Transmission Svcs Essential to Operation.Certificate of Svc Encl ML20039G1221982-01-0808 January 1982 Motion for Order Extending Time to File Exceptions to ASLB 811211 Memorandum & Order Until 10 Days After Svc of ASLB Order Ruling on Parties' Objections to Memorandum & Order ML20039E5911982-01-0505 January 1982 Lodging of Fl PSC 811230 Order Requiring Interconnection W/Petitioners' Facility ML20039E2351982-01-0505 January 1982 Rejoinder to Fl Cities 811217 Answer to Util 811202 Motion to Lodge Recent Decision.No Legal or Logical Basis Exists for Commission to Institute Proceedings Under 105a of Atomic Energy Act ML20039D0131981-12-29029 December 1981 Response Opposing Util 811222 Motion to Modify Procedural Schedule.Effect of Proposal Would Be to Delay Preparation & Presentation of Outline of Parties' Cases & Subj Fl Cities to Unnecessary Discovery Burdens.Certificate of Svc Encl ML20069B0471981-12-22022 December 1981 Motion for Extension of Time to File Exceptions to ASLB 811211 Order Finding That Licensing Plan Would Create Situation Inconsistent W/Antitrust Laws.Certificate of Svc Encl ML20069B0501981-12-22022 December 1981 Motion for Mod of Procedural Schedule Adopted in ASLB 811211 Order.Trial Briefs Should Not Have to Be Filed Until After Serious Consideration Given & Ruling Issued on Parties' Objections.Certificate of Svc Encl ML20039B1321981-12-17017 December 1981 Answer to Util 811202 Motion to Lodge Us Court of Appeals, Fifth Circuit Decision,Fpl Vs Ferc.No Objection to Lodging Decision But Opposes Util Erroneous Interpretation. Certificate of Svc Encl ML20038B3411981-12-0404 December 1981 Motion to Lodge Encl Decision in La Power & Light Co, 17FERC63020.Decision Relevant to Util Business Judgment Defense.Certificate of Svc Encl ML20010J5731981-09-29029 September 1981 Motion for Leave to File Reply by 811019,to Intervenor Parsons & Whittemore Objections to ASLB 810805 Memorandum & Order.Certificate of Svc Encl ML20010J5831981-09-25025 September 1981 Corrected Version of Objections to ASLB 810805 Memorandum & Order ML20010H8341981-09-25025 September 1981 Objections to ASLB 810805 Order Denying Petition to Intervene & to Underlying Findings of Fact & Conclusions of Law.Ferc Remedy Incomplete for Listed Reasons.Notice of Appearance & Certificate of Svc Encl ML20010J5771981-09-25025 September 1981 Corrected Pages to Petitioners' 810925 Objections to ASLB Order ML20010F6561981-09-0808 September 1981 Motion for Extension of Time Until 810916 to File Response to Fl Cities 810827 Motion to Establish Procedures.Extension Needed Due to Filings Required in Antitrust Case & to Evaluate Effects of Settlement.Certificate of Svc Encl 1998-02-26
[Table view] |
Text
_ . _ . _ . __ . . - . ._ . _.
, NdIh
$${IUllMN ,
is?
31 Am -5 P 4 :22-August 2, 1991
-UNITED STATESI Of AMERICA-NUCLEAR REGULATORY COMMISSION l:
)
In the Matter of )
) Docket No. 50-389 l FLORIDA POWER & LIGHT )
COMPANY ) License No. NPF-16
)
- (St. Lucie Plant,. ) (EA.91-062)
Unit No. 2) )
g )
V-LICENSEE'S OPPOSITION TO PETITION FOR HEARING AND LEAVE TO INTERVENE l
j Florida Power & Light Company ("FPL" or " Licensee")
hereby. submits this opposition to a " Petition for Hearing and Leave to Intervene" (" Petition") dated July 22, 1991, and addressed to the Commission by " Tom Saporito . . . on: behalf of himself, ~(a private citizen)." The Petition requests a hearing with respect to a " Notice of Violation'and Proposed Imposition of i _ Civil Penalty" (EA 91-062) related to the St. Lucie Plant, Unit l1 No. 2 1/1 The basis for this opposition is that neither the 1'
1/ The Petition is mislabeled as relating to St. Lucie Unit No.
1 as well as to St.-Lucie Unit No. 2. EA 91-062 here involved related only-to the inoperability of the containment spray system:in St. Lucie Unit No. 2 and was proposed to be imposed pursuant to 10 CFR'S 2.205. Pursuant to the provisions of the relevant regulation (10 CFR S 2.201), FPL' responded by letter dated July 11, 1991, advising the Director of the NRC's Office of Enforcement that it would pay the civil penalty. Attached to the letter was the required written statement or explanation replying to the Notice of Violation. The $37,500 penalty assesaed (continued...)
l 91082102119[$$$$99 DR ADOCK O PDR h30 $
l -
Atomic Energy Act nor the regulations of the Nuclear Regulatory Commission provide for a hearing, as requested by Mr. Saporito, and, even if the Commission has discretionary authority to conduct such a hearing, it should not do so in response to the Petition.
The Petition asserts that the hearing is being requested " pursuant to the Atomic Energy Act of 1954, as amended (ACT), 42 U.S.C. S 2282, and the Nuclear Regulatory Commission's (NRC) rules of practice as outlined in Title 10 of the Code of Federal Regulations . . . . In fact, however, neither the Act nor the regulations provide an opportunity for a hearing with respect to a civil monetary penalty for any person other than the person against whom a penalty is assessed. Section 234 of the Act (42 U.S.C. S 2282), cited in the Petition, authorizes the
'i Commission to impose such penalties and specifies certain basic procedures that the Commission must follow, including, initially, giving written notice of the proposed penalty. However, contrary to the apparent assumption of the Petition, the section does not provide for a hearing. It merely provides that the person L
subject to a proposed civil monetary penalty "shall.be granted an l
opportunity to show in writing, within such reasonable period as the Commission shall by regulation prescribe, why such penalty 1/(... continued) was in fact paid by electronic transmission to the NRC on July 23, 1991.
I L
should not be imposed." 42 U.S.C. S 2282(b) (1988). Nor does Section 189 of the Act (42 U.S.C. S 2239 (1988)), which provides for a hearing "upon the request of any person whose interest may be affected by" certain carefully enumerated types of proceedings, include proceedings for the imposition of ciril monetary penalties within that enumeration. 2/ Consequently, 2/ Even if Section 189 were otherwise applicable, the Petition does not establish that Mr. Saporito is a " person whose interest may be affected" within the meaning of that section; i.e., the Petition does not establish Mr.
i Saporito's standing. Bearing upon his claim to standing based on his residence in proximity to the St. Lucie Plant, the Petition states that Mr. Saporito is a resident of Palm Beach County and that he lives "within the NRC's (50 mile
' Zone of Interest') of the St. Lucie Nuclear Power Plant."
Also, it is signed in a manner which suggests that either he, personally, or an organization with which he appears to
! have a connection as a member of its Board of Directors i maintains a Post Office Box in Jupiter, Florida, about 40 l
miles from the St. Lucie Plant. Florida Power and Light Co.
(St. Lucie, Units 1 and 2), CLI-89-21, 30 NRC 325, 327 (1989). However, that is insufficient. In view of Mr.
i Saporito's " frequent changes of . . . address in a short l period of time," it is inappropriate simply to assume that I he actually resides where he receives his mail (Florida i Power & Light Company (Turkey Point Nuclear Generating Plant, Units 3 and 4), LBP-91-2, 33 NRC 42, 47 (1991),
i appeal dismissed, CLI-91-5, 33 NRC 238 (1991)); and there are areas in Palm Beach County well over 50 miles from the i
St. Lucie site. In the circumstances, before triggering a hearing the Commission is entitled to more detail and clarity concerning Mr. Saporito's place of residence.
Moreover, it is submitted that, even if Mr. Saporito could establish that he lives close enough to the plant to have standing under some circumstances, that would be insufficient here. He has not demonstrated how he personally would suffer "an injury in fact" from either assessment of the civil monetary penalty to which the Petition refers or to a, now hypothetical, failure to assess that penalty. Ege Public Service Company of Indiana (Marble Hill Nuclear Generating Stations, Units 1 and 2), CLI-80-10, (continued...)
- 4 -
the NRC is not under any statutory obligation to accord Mr.
Saporito the hearing he has requested.
Nor is the Commission required by its own regulations to provide Mr. Saporito such a hearing. Only one provision in the regulations relates to hearings with respect to the proposed imposition of a civil penalty, 10 CFR S 2.205(d). It provides that: "The person charged may, within twenty (20) days of the date of the order or other time specified in the order, request a hearing." (emphasis supplied). However, the regulation does not provide that anyone other than "[t]he person charged" may request a hearing. 2/ Since neither the Atomic Energy Act nor the Commission's regulations provide for the hearing requested by Mr.
Saporito, the Commission is not required to initiate that 2/(... continued) 11 NRC 438, 442 (1980); Ene also S_t. Lucie. Units 1 and 2, CLI-89-21, supra, 30 NRC at 330-31.
2/ As noted above, Section 234 of the Act does not provide for a hearing but only for "an opportunity (for the person subject to the proposed penalty) to show in writing . . .
why such penalty should not be imposed." The more liberal provision for a hearing contained in the regulation is consistent with the legislative history of Section 234 which indicates that the basic authority conferred upon the Commission by the Atomic Energy and Administrative Procedure Acts would ;ermit the Commission "to provide a full administrative hearing to any person charged with violation if such_p3rson so requested." Joint Committee on Atomic Energy, AZC Omnibus Legislation-1969, S. Rep. No. 553, 91st Cong., 1st Sess. (1969), reprinted in 1969 U.S. Code and Cong. & Admin. News 1607, 1617 (emphasis supplied).
Nothing in the legislative history contemplates the conduct of a hearing at the request of any person other than the person charged.
I
! )
. _ . - - - . _ - - . - - - - - ~ , __ _ _ . . _
r = -
l -
l L hearing. Illinois v. Nuclear RecuJatory Commission, 591 F.2d 12, l t 13-16 (7th Cir. 1979).
Assuming, nevertheless, that, as a matter of discretion, the Commission has some basic authority to initiate the requested hearing, it should not do so. The Petition is far from clear concerning the subject matter of the hearing it requests and the relief ultimately desired. However, without taking issue with any of ths facts asserted in EA 91-062, it I >
appears to suggest that the requested hearing be conducted with a !
view toward the imposition of more stringent enforcement action than the $37,500 civil penalty which has been assessed and paid.
However, the Commission has consistently held that it will not grant a hearing about an enforcement action at the request of a third person who advocates more severe enforcement action but l
l does not contest either the truth of the facts asserted by the Commission in support of the action it has taken or whether the i;
remedy selected by the Commission is supported by those facts.
E.ublic Service Company of Indiana (Marble Hill Nuclear Generating Stations, Units 1 and 2), CLI-80-10, 11 NRC 438, 441-42 (1980);
Boston Edison Co. (Pilgrim Nuclear Power Station), CLI-82-16, 16 NRC 44, 45-46 (1982), aff'd, Bellotti v. NRC, 725 F.2d 1380 (D.C.
Cir. 1983); Sequoyah Fuels Corporation (UF, Production Facility) .
CLI-86-19, 24 NRC 508 (1986). As stated in Marble Hill, the Commission has determined that:
It is reasonable to draw the line, in specific cases, at whether or not further, more drastic remedies are called for.
The reasons for this are simple. We believe thLt public health and safety is best served by concentrating inspection and enforcement resources on actual field inspections and related scientific and engineering work, as opposed to the conduct of legal proceedings.
This consideration calls for a policy that encourages licensees to consent to, rather than contest, enforcement actions. Such a policy would be thwarted if licensees which consented to enforcement actions were routinely subjected to formal proceedings possibly leading to more severe or different enforcement actions. Rather than consent and risk a hearing on whether more drastic relief was called for, licensees would, to protect their own interests, call for a hearing on each enforcement order to ensure that the possibility of less severe action would also be considered. The end result would be a major diversion of agency resources from project inspections and engineering investigations to the conduct of hearings.
Marble Hill, CLI-80-10, 11 NRC at 441-42. Both the courts and the Commission have recognized the diversionary consequences of granti.ng raquests such as those contained in the Petition and that they "'would result in a hearing virtually as lengthy and wide-ranging as if [ Petitioners) were allowed to specify the relevant issues themselves.' Hellotti v. NRC, supra, 725 F.2d at 1382." Sequoyah, CLI-86-19, 24 NRC, supra, at 514. A/
A/ Each of the cited proceedings involved enforcement orders governing activities under a license or permit. We have discovered no reported proceeding in which a third party requested a hearing with respect to the proposed assessment of a civil monetary penalty against a licensee. However, it (continued...)
l f
i i
The reasons underlying the policy described in Marble Hill are fully applicable to this situation. The action with respect to which Mr. Saporito requests a hearing has been i completed. Not only has the civil monetary penalty been ;
assessed, it has been paid. If, after having made the election ;
v to pay the penalty and satisfied the Commission about the corrective action taken, a licensee, nevertheless, remained ;
exposed to the expense, effort and risk involved in a hearing, there would, as pointed out in Marble Hill, be little incentive to consent to a civil monetary penalty.
The Petition should be denied.
Respectfully submitted,
//U ,
t Harold F. Reis' ,
Damien A. Lee Newman & Holtzinger, P.C. -
1615 L St., N.W. !
Washington, D.C. 20036 Dated: August 2, 1991 Attorneys for Florida Power & Light Company L
l.
l t l
h b
A/(... continued) seems clear that the principles established in the cited proceedings should be equally applicable to enforcement proceedings relating to civil monetary penalties, b
I I
I t
k g+%Q1%h
,L"n t;nD :
i 91 AUG -5 P4 :22 UNITED STATES OF AMERICA l NUCLEAR REGULATORY COMMISSION . - l
- s ; ., w w gg g2 , , m , , :W1 e iiiiMu :
) ,
In the Matter of ) ;
) Docket No. 50-389 i FLCRIDA. POWER-& LIGHT ) ;
COMPANY ) License No. NPF-16 ;
) ;
-(St. Lucie Plant, ) (EA-91-062) {
' Unit No. 2) ) !
) ;
NOTICE OF APPEARANCE OF' COUNSEL !
, i Notice is.hereby given that Damien A.. Lee enters an [
.I appearance as. counsel for Florida Power & Light Company, et al. [
in the above-captioned proceeding. !
i Name: Damien A. Lee !
-i Adoress: Newman & Holtzinger, P.C. i
, -1615 L St., N.W. ;
Suite 1000 :
Washington, D.C. 20036 3:
Telephone: (301).966-6600 Admissions: Bar of the State of Pennsylvania Name of Party: Florida Power & Light Company Dated: August.2, 1991 D a'dfi e n A . Lee
- )-
, . r U
Newman & Holtzinger, P.C. l 1615 L St., N.W.
Washington, D.C. 20036 l
- i. .
k 1
l 1
t ri ;i :
Pi >>"'
qnntinp hklh r p Y . TNl0l 31 l[ -
'91 AUG -5 P 4 :22 UNITED STATES OF AMERICA ,, , 7, ,
NUCLEAR REGULATORY COMMISSION ru r-
;i<
)
In the Matter of )
) Docket No. 50-389 FLORIDA POWER & LIGHT )
COMPANY ) License No. NPF-16
)
(St. Lucie Plant, ) (EA 91-062)
Unit No. 2) )
)
HQTICE OF APIEARANCE OF COUNSEL Notice is hereby given that Harold F. Reis enters an appearance as counsel for Florida Power & Light Company, et al.
in the above-captioned proceeding.
Name: Harold F. Reis Address: Newman & Holtzinger, P.C.
1615 L St., N.W.
Suite 1000 Washington, D.C. 20036 Telephone: (301) 966-6600 Admissions: United States Court of Appeals for the District of Columbia Circuit Name of Party: Florida Power & Light Company Dated: August 2, 1991 M .
//
Ha'rold F. Reis Newman & Holtzinger, P.C.
1615 L St., N.W.
Washington, D.C. 20036
_ - , .- _-_ _ . __ -. . . . m_ _,_ . - . _
w
+
.;L ri ; U:
'91 A' P 4 :23 L
5.i .
At ia' Di;i;nt M
[f7 UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION
)
In the Matter of )
) Docket No. 50-389 FLORIDA POWER & LIGHT- )
COMPANY. ) License No. NPF-16
)
(St.-Lucie Plant, ) (EA-91-062)
Unit No. 2) )
) l 1
l CERTIFICATE OF SERVICE !
I hereby certify that copies of " Licensee's Opposition
.to Petition.for Hearing and Leave to Intervene" and two Notices
-of Appearance in the above-captioned proceeding were served on thelfollowing by deposit in the United States mail, first class, y properly stamped and addressed, on the date shown below: 'I
. Office of-the Secretary U.S. Nuclear Regulatory Commission Washington, D.C. 20555 Attention: Chief, Docketing and Service Section
. (Original plus two copies) 1 Thomas J..Saporito, Jr.
P.O. Box 1994 Jupiter, FL 33468 Office of the General Counsel
< U.S. Nuclear Regulatory Commission Washington, D.C. 20555
_. - - .-. . . . , . . , - , - - - , . - - - - . - - - - - - - - ,- ,.,-s, ., ,- --, . .---,m. m.,- . - - - -. _ - . ~ , , , - - - - -
Janice E. Moore, Esq.
Marian L. Zobler, Esq.
Office of the General Counsel U.S. Nuclear Regulatory Commission Washington, D.C. 2055a Dated: August 2, 1991 Harold F. Reis
!sk Newman & Holtzinger, P.C.
1615 L Street, N.W.
Suite 1000 Washington, D.C. 20036
. r i ; i. ~.
.g
,,.5Tiy3 j4
- hr n'n ar3 Oh.-;- Vi (Vibb j%,"h 91 RG -5 P ' :23 F e g g;u =>
enum ,,
UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION
)
In the Matter of )
) Docket No. 50-389 FLORIDA POWER & LIGHT )
COMPANY ) License No. NPF-16
)
(St. Lucie Plant, ) (EA 91-062)
Unit No. 2) )
)
CERTIFICATE OF SFkv1CE I hereby certify that copies of " Licensee's Opposition to Petition for Hearing and Leave to Intervene" and two Notices of Appearance in the above-captioned proceeding were served on the following by deposit in the United States mail, first class, properly stamped and addressed, on the date shown below:
Office of the Secretary U.S. Nuclear Regulatory Commission Washington, D.C. 20555 Attention: Chief, Docketing and Service Section (Original plus two copies)
Thomas J. Saporito, Jr.
P.O. Box 1994 Jupiter, FL 33468 Office of the General Counsel U.S. Nuclear Regulatory Commission Washington, D.C. 20555 l
r a
Janice E. Moore, Esq.
Marian L. Zobler, Esq.
Office of the General Counsel U.S. Nuclear Regulatory Commission ,
Washington, D.C. 20555 '-
Dated: August 2, 1991 #/ /
Harold F. Reis .
Newman & Holtzinger, P.C.
1615 L Street, N.W.
Suite 1000 Washington, D.C. 20036 '
L I
e l
l l
i i
e
. _ _ _ _ _ _ _ _ _ _ _ _ _ . _ _ _ _ _ _ _ _ _ - _ _ _ _ _ _ _ _ _ _ _ - - _ - _ _ _ . _ _ _ _ _ _ _ _ _ _ - . __ _ . _ _ _ _ _ _ . _ _ _