ML20082K855
| ML20082K855 | |
| Person / Time | |
|---|---|
| Site: | Shoreham File:Long Island Lighting Company icon.png |
| Issue date: | 11/07/1983 |
| From: | Glass S Federal Emergency Management Agency |
| To: | Bordenick B NRC OFFICE OF THE EXECUTIVE LEGAL DIRECTOR (OELD) |
| Shared Package | |
| ML20082K823 | List: |
| References | |
| NUDOCS 8312050321 | |
| Download: ML20082K855 (1) | |
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Federal Emergency Management Agency g;
f Region II 26 Fedad Plaza New York, New York 10278 (212,)264-8980 l
't 30V 1983 i
Bernard M. Bordenick, Esq.
United States Nuclea.r Regulatorf Coersission Washington, D.C. 20555 l
Dear Mr. Bordenick:
As you are aware, FEMA is presently conducting a plan review of the LIICO Transition Plan for Shoreham as regoested under the NRC-FEMA Mecorandtna of Understanding (M00).
FEMA's involvement in the present Atomic Safety Licensing Board Hear-ing is pursuant to the terns of that MOU.
FEMA has informal requests pending from two of the parties to this proceeding to review additional information relative to the Shoreham Nuclear Pow r Station.
FEMA feels that such snhaissions should be made t
l to the NRC for determination whether they will be forwarded to FMA at this time pursuant to the MOO.
In this situatice, it is properly the NRC/PEMA Steering Cormittee's determination as j
to which documents should be reviewed.
During the course of a normal 44 CPR 350 review process FEMA has received additional data from all sources.
If ques-tions arose necessitating clarification of the plan such clarification could be acquired directly frota the party (Governor's representative) vbo sobtaitted the plan.
In that the RRC has sulxaitted the LILCO Transition Plan to FINA any
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additional subcnissions should come frcza the NRC as they have to determine the consequences of these reviews on bearing schedules and other matters.
FEMA has also received requcSts from two of the parties to sect with the Region II staff to discuss aspects of the Plan Pcview.
FEMA is willing to accovodate each party.
As these neetings would relate to issues before the ASLB we feel it would be appropriate for roWrs of your staff to be in attendance.
Very truly yours, kYf&N+
Stewart M. Glass Regional Counsel 8312050321 83J1jo PDR ADOCK 05000322 l
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