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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20106J8711985-02-15015 February 1985 Notification Concerning Site redress.Near-term Planning for Site Redress Predicated Upon Commencing Redress by May 1985. Certificate of Svc Encl ML20107M9411984-11-0808 November 1984 Response to Motion to Dismiss Proceeding Re Revocation of Lwa.Authorization of Revocation of LWA & That Proceedings Be Dismissed W/O Prejudice Recommended.Certificate of Svc Encl ML20106J7951984-10-30030 October 1984 Response to Applicant 841019 Motion to Dismiss Proceeding. Motion Acceptable Subj to Conditions Set Forth in Redress Plan & NRC .Certificate of Svc Encl ML20093M2611984-10-19019 October 1984 Motion to Dismiss Proceeding.Applicable Conditions of Existing Federal Water Permit & State Water Quality Requirements Will Remain in Effect.Supporting Documentation & Certificate of Svc Encl ML20098F7391984-09-28028 September 1984 Notice of Change of Address & Telephone Number.Certificate of Svc Encl ML20098F9571984-09-28028 September 1984 Notice of Change of Address & Telephone Number.Certificate of Svc Encl.Related Correspondence ML20097G9671984-09-19019 September 1984 Notice of Change of Address & Telephone Number.Certificate of Svc Encl.Related Correspondence ML20087F4701984-03-15015 March 1984 Answer to Applicant Petition for Review of ASLB 840229 Memorandum & Order Re Crbr LWA Proceedings on Site Redress Plan.Intervenors Main Concern Is That Redress Be Rapid & Effective.W/Certificate of Svc ML20086T0141984-03-0505 March 1984 Petition for Review of Appeal Board 840229 Memorandum & Order Readmitting Intervenors to Proceedings.Intervenor Participation Will Protract Proceeding for Project Which Is Terminated.Certificate of Svc Encl ML20080N0471984-02-21021 February 1984 Answer Opposing NRDC & Sierra Club Appeals to ASLB Decisions.Certificate of Svc Encl ML20080C6411984-02-0606 February 1984 Brief of Intervenors in Support of Appeal of ASLB 840120 Order.Certificate of Svc Encl ML20080C6121984-02-0606 February 1984 Notice of Appeal of ASLB 840120 Notice Denying NRDC Motion to Intervene ML20080C6021984-02-0606 February 1984 Brief in Support of Appeal of ASLB 840120 Order Re NRDC Motion to Intervene ML20083J4351984-01-0909 January 1984 Response to NRDC Reply Per ASLB 831228 Order.Contentions Raised in NRDC Motion to Intervene Moot.Motion Should Be Denied.Certificate of Svc Encl ML20083E4231983-12-27027 December 1983 Notice of Project Termination.Certificate of Svc Encl ML20082S4541983-12-12012 December 1983 Reply to Util 831205 & NRC 831208 Responses to NRDC Motion to Intervene.Appropriate ASLB Course of Action Is Termination of Proceedings on Grounds of Mootness. Certificate of Svc Encl ML20082S4471983-12-12012 December 1983 Request to Reply to Util 831205 & NRC 831208 Responses to NRDC Motion to Intervene ML20082Q6841983-12-0909 December 1983 Amended Notice of Appearance in Proceeding.Certificate of Svc Encl ML20082M5401983-12-0505 December 1983 Response Opposing NRDC 831123 Motion to Intervene.Proceeding Moot Due to Project Cancellation.Cp Partial Initial Decision Should Be Issued.Certificate of Svc Encl ML20082M5271983-12-0505 December 1983 Response Supporting Intervenor 831123 Motion to Terminate Appeal Proceedings,Vacate Partial Initial Decision & Authorize Revocation of Lwa.Certificate of Svc Encl ML20082E1261983-11-23023 November 1983 Petition of NRDC for Leave to Intervene & Request for Hearing Re Effect of Crbr Termination on CP Proceedings. Contentions Listed ML20081D7931983-10-31031 October 1983 Confirmation of Info Re Legislative Status Discussed W/Aslb in 831028 Telcon.Certificate of Svc Encl ML20081A5041983-10-25025 October 1983 Supplemental Citations Supporting Thesis That Following Hydrodynamic Core Disruptive Accident,Reactor Vessel Closure Head Is More Susceptible to Failure than Reactor Vessel Head.Certificate of Svc Encl ML20078B9771983-09-26026 September 1983 Response Opposing NRC 830913 Motion for Leave to File Supplemental Affidavit of Lg Hulman.Affiant Revised Testimony Incorrect,Misleading & Irrelevant.Certificate of Svc Encl ML20076C9811983-08-22022 August 1983 Motion to Correct Transcript of Aug 1983 CP Evidentiary Hearings.Certificate of Svc Encl ML20076A7871983-08-17017 August 1983 Motion to Reschedule 830929 Oral Argument to 830928. Certificate of Svc Encl ML20077J5051983-08-15015 August 1983 Proposed Initial Decision,Findings of Fact & Conclusions of Law Re Cp.Certificate of Svc Encl ML20077B6661983-07-22022 July 1983 Response Opposing Intervenor 830518 Exceptions to ASLB 830228 Partial Initial Decision on Lwa.Aslab Should Affirm ASLB Decision.Site Suitability Arguments Incongruous. Certificate of Svc Encl ML20024C3641983-07-0808 July 1983 Limited Appearance Statement of TB Cochran Re Issues Raised in CP Proceeding.Discusses Radiological Consequences of Crbr Core Disruptive Accident & Site Suitability.Certificate of Svc Encl ML20072F2651983-06-22022 June 1983 Response to Intervenor 830621 Motion to Withdraw Contentions 1,3,9(c),9(f) & 9(g) from Consideration at Jul 1983 CP Hearings.Intervenors Should Be Dismissed as Parties. Certificate of Svc Encl ML20079R2631983-06-21021 June 1983 Response Opposing Applicant 830519 & 23 Motions for Summary Disposition of Contentions 9(g),9(c) & 9(f).Motions Moot Since Intervenors Moved to Withdraw Contentions from Consideration ML20079R2491983-06-21021 June 1983 Motion to Withdraw Contentions 1,3,9(c),9(g) from Consideration at Jul 1983 CP Hearings & Request for Leave to Submit Written Statement on Issues Raised.Limited Resources Prohibit Continued Full Participation ML20071M3191983-05-27027 May 1983 Notification of Pending Litigation Re NRDC 821001 Motion to Expedite Consideration of Emergency Motion to Amend Us District Court of Appeals Remand & to Review EPA Regulations.Certificate of Svc Encl ML20071H0321983-05-23023 May 1983 Motion for Summary Disposition of Intervenor Contentions 9(c) & 9(f) Re Adequacy of Evacuation Time Analysis in Psar. No Genuine Issue of Matl Fact Exists & Applicant Entitled to Favorable Decision.Certificate of Svc Encl ML20071H0461983-05-23023 May 1983 Statement of Matl Facts as to Which There Is No Genuine Issue Re Contentions 9(c) & (F) on Emergency Plans ML20071H0911983-05-23023 May 1983 Motion for Extension Until 830722 to File Response to Intervenors 830518 Brief in Support of Exceptions. Certificate of Svc Encl ML20076D0191983-05-19019 May 1983 Statement of Matl Facts as to Which There Is No Genuine Issue Re Contention 9(g) on Emergency Planning.Certificate of Svc Encl ML20076C9801983-05-19019 May 1983 Motion for Summary Disposition of Contention 9(g) Re Emergency Plans.No Genuine Issue of Matl Fact Exists ML20023D1761983-05-18018 May 1983 Notification Re PRA Status Rept.Encl Phase I PRA Rept Not Submitted to NRC for Review.Results of Rept Insignificant to Proceeding.W/O Phase I Rept.Certificate of Svc Encl ML20071H2211983-05-18018 May 1983 Brief Supporting Exceptions to ASLB 830228 Partial Initial Decision Re LWA ML20023D0951983-05-17017 May 1983 Third Set of CP Interrogatories & Request to Produce. Certificate of Svc Encl.Related Correspondence ML20074A8791983-05-13013 May 1983 Response to 830425 Eleventh Set of Interrogatories & Request for Admissions.Certificate of Svc Encl.Related Correspondence ML20074A8621983-05-13013 May 1983 Response to 830427 Second Set of CP Interrogatories & Request for Admissions.Related Correspondence ML20023C2071983-05-0909 May 1983 Certifies Svc on 830509 ML20079Q3021983-05-0909 May 1983 Corrected Response to First Set of Interrogatories & Request to Produce.Requested Documents Will Be Made Available for Insp & Copying ML20079Q3001983-05-0909 May 1983 Responds to Second Set of CP Interrogatories.Aerosol Plateout & Fallout Calculations Discussed.Affidavit Encl. Related Correspondence ML20079Q2781983-05-0909 May 1983 Response to First Set of CP Interrogatories & Request to Produce.Requested Documents Will Be Made Available for Insp & Copying.Related Correspondence ML20079P9141983-05-0909 May 1983 Response Opposing Intervenor 830429 Motion for Extension of Time.Good Cause Not Demonstrated ML20023C1961983-05-0606 May 1983 Certifies Svc on 830506 of Intervenor Supplementary Response to Applicant Eighth & Ninth Set of Interrogatories Dtd 830401 & 08 & Intervenor Response to Applicant Tenth Set of Interrogatories Dtd 830421 ML20079P6971983-05-0606 May 1983 Supplementary Response to Eighth & Ninth Set of Interrogatories & 08.Review of SER & Related Documentation Incomplete,Hindering Response to Certain Interrogatories.Related Correspondence 1985-02-15
[Table view] Category:PLEADINGS
MONTHYEARML20107M9411984-11-0808 November 1984 Response to Motion to Dismiss Proceeding Re Revocation of Lwa.Authorization of Revocation of LWA & That Proceedings Be Dismissed W/O Prejudice Recommended.Certificate of Svc Encl ML20106J7951984-10-30030 October 1984 Response to Applicant 841019 Motion to Dismiss Proceeding. Motion Acceptable Subj to Conditions Set Forth in Redress Plan & NRC .Certificate of Svc Encl ML20093M2611984-10-19019 October 1984 Motion to Dismiss Proceeding.Applicable Conditions of Existing Federal Water Permit & State Water Quality Requirements Will Remain in Effect.Supporting Documentation & Certificate of Svc Encl ML20087F4701984-03-15015 March 1984 Answer to Applicant Petition for Review of ASLB 840229 Memorandum & Order Re Crbr LWA Proceedings on Site Redress Plan.Intervenors Main Concern Is That Redress Be Rapid & Effective.W/Certificate of Svc ML20080N0471984-02-21021 February 1984 Answer Opposing NRDC & Sierra Club Appeals to ASLB Decisions.Certificate of Svc Encl ML20083J4351984-01-0909 January 1984 Response to NRDC Reply Per ASLB 831228 Order.Contentions Raised in NRDC Motion to Intervene Moot.Motion Should Be Denied.Certificate of Svc Encl ML20082S4541983-12-12012 December 1983 Reply to Util 831205 & NRC 831208 Responses to NRDC Motion to Intervene.Appropriate ASLB Course of Action Is Termination of Proceedings on Grounds of Mootness. Certificate of Svc Encl ML20082S4471983-12-12012 December 1983 Request to Reply to Util 831205 & NRC 831208 Responses to NRDC Motion to Intervene ML20082M5271983-12-0505 December 1983 Response Supporting Intervenor 831123 Motion to Terminate Appeal Proceedings,Vacate Partial Initial Decision & Authorize Revocation of Lwa.Certificate of Svc Encl ML20078B9771983-09-26026 September 1983 Response Opposing NRC 830913 Motion for Leave to File Supplemental Affidavit of Lg Hulman.Affiant Revised Testimony Incorrect,Misleading & Irrelevant.Certificate of Svc Encl ML20076C9811983-08-22022 August 1983 Motion to Correct Transcript of Aug 1983 CP Evidentiary Hearings.Certificate of Svc Encl ML20076A7871983-08-17017 August 1983 Motion to Reschedule 830929 Oral Argument to 830928. Certificate of Svc Encl ML20079R2631983-06-21021 June 1983 Response Opposing Applicant 830519 & 23 Motions for Summary Disposition of Contentions 9(g),9(c) & 9(f).Motions Moot Since Intervenors Moved to Withdraw Contentions from Consideration ML20071H0911983-05-23023 May 1983 Motion for Extension Until 830722 to File Response to Intervenors 830518 Brief in Support of Exceptions. Certificate of Svc Encl ML20071H0461983-05-23023 May 1983 Statement of Matl Facts as to Which There Is No Genuine Issue Re Contentions 9(c) & (F) on Emergency Plans ML20071H0321983-05-23023 May 1983 Motion for Summary Disposition of Intervenor Contentions 9(c) & 9(f) Re Adequacy of Evacuation Time Analysis in Psar. No Genuine Issue of Matl Fact Exists & Applicant Entitled to Favorable Decision.Certificate of Svc Encl ML20076C9801983-05-19019 May 1983 Motion for Summary Disposition of Contention 9(g) Re Emergency Plans.No Genuine Issue of Matl Fact Exists ML20076D0191983-05-19019 May 1983 Statement of Matl Facts as to Which There Is No Genuine Issue Re Contention 9(g) on Emergency Planning.Certificate of Svc Encl ML20079P9141983-05-0909 May 1983 Response Opposing Intervenor 830429 Motion for Extension of Time.Good Cause Not Demonstrated ML20073R1431983-04-29029 April 1983 Motion for Extension of Time for Discovery Permitted by 830329 CP Scheduling Order,To Provide Opportunity to Prepare Questions & Responses to Documentation Supporting CP Contentions.W/Certificate of Svc ML20073P9851983-04-27027 April 1983 Motion to Dismiss Intervenor Contentions 2(f),(g) & (H) Re Core Disruptive Accidents.Intervenors Withdrew Contentions on 830422 in Response to Applicant 830408 Interrogatories. Matters No Longer at Issue.Certificate of Svc Encl ML20073P9751983-04-27027 April 1983 Motion to Dismiss Intervenor Contention 10 Re Adequacy of Equipment to Establish & Maintain Safe Shutdown.Contention Withdrawn on 830422 in Response to Interrogatories.Matter No Longer at Issue.Certificate of Svc Encl ML20072H3891983-03-28028 March 1983 Response in Opposition to Intervenor Application for Stay of Effectiveness of ASLB Partial Initial Decision.Intervenors Failed to Sustain Burden of Demonstrating That Extraordinary Relief of Stay Is Warranted.Certificate of Svc Encl ML20072H3721983-03-25025 March 1983 Motion to Extend Time Until 830518 for Intervenors to File Brief on Appeal in Support of Exceptions.Intervenors Engaged in Several Other Proceedings Requiring Substantial Attention.Certificate of Svc Encl ML20069G4881983-03-24024 March 1983 Response Opposing Applicant 830323 Suppl to 830307 Schedule Motion.Applicant Reliance on Intervenor Proposed Schedule Misplaced.Proposed Schedule for CP Hearings Unworkable & Unnecessarily Foreshortened.Certificate of Svc Encl ML20072F6781983-03-23023 March 1983 Suppl to 830307 Schedule Motion.Parties Need Definite Milestones to Work Toward Commencement of Hearings ML20069E8731983-03-18018 March 1983 Application for Stay of Effectiveness of ASLB 830228 Partial Initial Decision Authorizing Lwa.Intervenors Will Be Irreparably Injured Due to LWA Effect on Environ & Violation of NEPA Rights ML20069E9081983-03-18018 March 1983 Exceptions to ASLB 830228 Partial Initial Decision Authorizing Lwa.Certificate of Svc Encl ML20072C6361983-03-0707 March 1983 Motion Requesting ASLB to Adopt Encl CP Hearings Schedule. NRC Concurs W/Schedule.Certificate of Svc Encl ML20070K1811982-12-28028 December 1982 Reply in Opposition to Intervenor Response to Commission 821210 Order.Circumstances Surrounding Crbr Clearly Warrant Relief Under 10CFR50.12.Order Eliminates 9-month Delay. Commission Order Should Be Affirmed ML20066J1761982-11-15015 November 1982 Memorandum Supporting NRDC & Sierra Club 821112 Notice of Intent to Introduce Natl Security Info & Opposing Applicant 821112 Motion to Strike Portions of TB Cochran Testimony, Part V.Two Certificates of Svc Encl ML20028A2921982-11-15015 November 1982 Response Opposing Applicant 821112 Motion to Strike Portions of TB Cochran Testimony,Part Iii.Certain Portions Not Ruled Beyond Scope of Proceeding & Are Necessary & Relevant. Certificate of Svc Encl.Related Correspondence ML20027E7021982-11-12012 November 1982 Response Opposing Intervenor 821105 Notice of Intent to Introduce Natl Security Info.Intervenor Testimony Containing Classified Info Should Be Excluded.No Showing Made of Relevancy,Materiality or Competence.W/Certificate of Svc ML20027E7271982-11-12012 November 1982 Motion to Strike Portions of TB Cochran 821101 Testimony, Part V.Portions Already Ruled Beyond Scope of Proceeding by ASLB ML20027E7301982-11-12012 November 1982 Motion to Strike Portions of TB Cochran 821101 Testimony, Part Iii.Portions Already Ruled Beyond Scope of Proceeding by Aslb.Certificate of Svc Encl ML20065U0281982-10-29029 October 1982 Response to NRDC & Sierra Club 821020 Request for Scheduling of Expert Testimony.Applicant Does Not Object as Long as Intervenors Will Not Be Allowed to Name Addl Witnesses in Untimely Manner.Related Correspondence ML20065U0241982-10-29029 October 1982 Response to NRDC & Sierra Club 821020 Motion Re Order of cross-examination.Applicants Do Not Object & Do Not Feel Compelled to Respond to NRDC Mischaracterizations of Record in Prior Phase of Hearings.Related Correspondence ML20065U0201982-10-29029 October 1982 Response Opposing NRDC & Sierra Club 821020 Motion for TB Cochran Qualification as Expert Interrogator.Qualifications as Expert Not Demonstrated.Related Correspondence ML20065N7211982-10-20020 October 1982 Motion to Regulate Conduct of cross-examination.Util & NRC Should cross-examine Witnesses First.Util & NRC Used cross-examination for Rehabilitation.Certificate of Svc Encl ML20065N6921982-10-20020 October 1982 Request to Defer cross-examination of C Johnson Until 821213-17 Portion of LWA-1 Hearings.Johnson Will Not Be in Us During 821116-19 Portion of Hearings ML20065N6231982-10-20020 October 1982 Motion for Qualification of TB Cochran as Expert Interrogator,Allowing Cochran to cross-examine on Contentions 1,2,3,4,5(b),6,7(a),7(b),8 & 11,excluding Contentions 1(b),3(a) & 11(a) ML20063P3731982-10-12012 October 1982 Answer Supporting NRC 820929 Motion for Summary Disposition of Intervenor Contentions 6(a) & (B) & 7(a)(1).No Genuine Issue of Matl Fact Exists.Certificate of Svc Encl.Related Correspondence ML20069D5951982-09-20020 September 1982 Response in Opposition to Intervenor 820909 Motions to Strike & to Amend Applicant Exhibit 1 Testimony.Intervenors Ignore Limitations & Reargue Issues ASLB Already Decided. Certificate of Svc Encl ML20064N8371982-09-0909 September 1982 Motion to Strike & Motion to Amend Applicant Exhibit 1 to Comply W/Aslb 820422 Order.Conclusions Re Performance of Detailed Design Features Based on Exhibits Admitted Only to Illustrate Design Feasibility.Certificate of Svc Encl ML20063A4271982-08-23023 August 1982 Motion to Strike Portions of Applicant Testimony & Exhibits Re design-specific Info Since Such Info Beyond Scope of LWA Proceeding.Design Details Are Not General Characteristics of Crbr Design or State of Technology ML20063D0631982-08-20020 August 1982 Motion to Withdraw as Party Per 10CFR2.714 & to Continue Participation Per 10CFR2.715.Certificate of Svc Encl ML20058J6781982-08-0909 August 1982 Motion Opposing NRDC & Sierra Club Request for Stay of Commission 820805 Decision Authorizing Commencement of Site Preparation Activities.Nrdc Remedy Must Reside in Courts Not Nrc.Certificate of Svc Encl ML20058J6761982-08-0909 August 1982 Petition for Directed Certification of Commission 820805 Decision to Authorize Commencement of Site Preparation. Meaning of 10CFR2.761a Prohibits Commencement of LWA Evidentiary Hearing Prior to Fes Issuance ML20058J0721982-08-0606 August 1982 Application for Stay of Commission 820805 Decision Under 10CFR50.12 Authorizing Conduct of Site Preparation Activities.Issues of First Impression Will Be Presented to Court of Appeals.Certificate of Svc Encl ML20058F8541982-07-30030 July 1982 Response to Applicant 820726 Motion to Enforce Hearing Schedule & NRDC 820728 Motion to Reschedule hearings.LWA-1 Hearings Should Continue Per Schedule in 820211 Order for All Parties Except Nrc.Certificate of Svc Encl 1984-03-15
[Table view] |
Text
s. .. .
- BEFORE THE DCLMETED UNITED STATES OF AMERICA UUBE NUCLEAR SAFETY AND LICENSING BOARD ~
'84 J2!!-9 R'2 :3f In the liatter )
UNITED STATES DEPARTMENT OF ENERGY ).
)
h ,][,]
5%CH PROJECT MANAGEMENT CORPORATION ) Docket No. 50-537CP
)
TENNESSEE VALLEY AUTHORITY )
)
(Clinch River Breeder Reactor Plant) )
)
APPLICANTS' ANSWER TO NRDC'S REPLY PURSUANT TO THE BOARD'S DECEMBER 28, 1983 ORDER The United States Department of Energy and Project Management Corporation (hereinafter " Applicants") hereby file their Answer.to NRDC's Reply Pursuant to the Board's December 28, 1983 Order. In support of their Answer, the Applicants state the following:
- 1. Applicants' Notification Concerning Project Termin-ation, dated December.27, 1983 indicates that the project has been terminated. It will not, therefore, be built. On NRDC's own Motion, the Appeal Board has terminated the LWA appeal, and the LWA decision has been vacated. United States Department of
(
Energy (Clinch River Breeder Reactor Plant) , ALAB-755, 17 NRC__,
Slip Op., December 15, 1983. Thereforo, a CP cannot be issued, I and CRBRP cannot meet all of its programmatic objectives. Both of the contentions raised in NRDC's Motion to Intervene are, i
therefore, moot and its Motion to Intervene should be denied as 8401100149 840109 moot. PDR ADOCK 05000537 0 PDR
- 2. NRDC's Reply presents four basic arguments seeking to forestall issuance of a Construction Permit (CP) Partial Ini-l tial Decision (PID) by the Licensing Board: 3
! c 77 ] 0
- a. Given the Appeal. Board's termination of the LWA appeal, issuance of a CP PID by the Licen .-
sing Board would unfairly improve Applicants' position, and irreparably harm NRDC.
- b. The position taken by Applicants and Staff be-fore the Appeal. Board is inconsistent with their position here.
- c. The circumstances here are not appropriate for issuance.of a CP PID, and issuance of a CP PID would be useless as precedent.
- d. Issuance of a CP PID would adversely affect NRDC's interests.
- 3. Improvement of Applicants' Position and Harm to NRDC - NRDC argues that a Partial Initial Decision resolving the issues before the Board in the CP proceedings would improve NRDC's position Applicants' position, and irreparably harm NRDC.
is without merit for the following reasons:
- a. NRDC's withdrawal and dismissal from CP pro-ceedings, coupled with their failure to file Proposed Findings pursuant to the Board's August 11, 1983, Order, resulted in an irre-trievable waiver and forfeiture of any rights or interest which NRDC might have had in the resolution of the issues before the Board in the CP proceedings.
- b. NRDC speculates that if they had pursued their LWA appeal to conclusion, they would have been I
successful, and a CP PID would be precluded.
They' ignore the fact that they sought and we'r'e~
granted termination of the LWA appeal, and that accordingly, the LWA decision was dis-missed on grounds of mootness. A dismissal on ground of mootness carries no implicati~on of success or failure on the merits of-the LWA decision. It is neutral and it simply pre-serves the rights of all the parties as to the LWA issues. Contrary to NRDC's assertion (see Reply at 4), the LWA appeal dismissal is neither favorable nor unfavorable to Appli-cants. United States v. Munsingwear, 340 U.S.
36 (1950).
- c. It does not follow that dismissal of the LWA decision can have any effect on whether the Board should issue the pending CP PID. The alleged " improvement" in Applicants' position, if it exists at all, would occur if the Board resolved in Applicante' favor those issues be-fore the Board in the CP hearings. In that regard, the Applicants are merely seeking a resolution of the issues in which they have invested substantial resources and energy, and if that is an improvement, it will not carry with it the authority or means to construct the CRBRP. In marked contrast, NRDC's asser-
_4_
t tion that they will be irreparably harmed is simply' fatuous. Incredibly, they argue that '
issuance of a CP PID would be useless as pre-cedent (Reply at 6-7), while at the same time they assert that it would be harmful to them.
They elected to" forfeit all rights in the is-sues before the Board in the CP proceedings.
They elected to terminate the LWA appeal.
They sought for years to stop construction of the CRBRP, and they have now received complete relief. NRDC, however, has no cognizable right to forestall the Board's resolution of very issues that they have long since abandoned.
- 4. Inconsistent Positions. NRDC asserts that Appli-I I
l cants' advancement of compelling circumstances for issuance of a PID is somehow inconsistent with its having made no such claim with respect to the LWA appeal before the Appeal Board. As NRDC would have it, Applicants "cannot pick and choose what licensing
! decisions should be on the books". Reply at 5-6. While Appli-(
l cants registered no oppositioT to NRDC's Hotion to terminate the LWA appeal, that in no way precludes Applicants from seeking a Board resolution of the CP issues in which so much of the Appli-cants', Staff's and the Board's time and resources were invested.1!
1/ NRDC has forgotten that it moved to terminate the LWA appeal, and that the Appeal Board granted that unopposed motion. Ap-plicants did not pick or choose. They merely registered no opposition to NRDC's choice. It hardly seems productive of (continued)
4
- 5. The Circumstances for Issuance of a CP PID - NRDC
~
argues that thIe CP PID'should not be issued because, in their view, breeder license applications are not. contemplated in the foreseeable future. Moreover, NRDC argues that such a PID would ,
be essentially useless as precedent. Reply at 6-7. In making this argument, NRDC at least concedes that there is no prohibi-tion on issuance of the PID, and that issuance of the PID is a matter for the Board's discretion. Three points warrant emphasis here. First, the efforts invested by the Board, Applicants, and Staff in development of the record were substantial, and in light of their withdrawal and dismissal, NRDC's were not. Second, NRDC's withdrawal, and their own assertion that a PID would be useless as precedent, conclusively demonstrates that issuance of
' a PID would be entirely harmless to NRDC. Third, while CRBRP has been terminated, the LMFBR base program has not, and the guidance embodied in the PID will be of considerable value in providing program direction. The public interests inherent in that program have been previously recognized by the Commission
- itself as compelling circumstances, and they are equally compel-ling here. See United States Department of Energy (Clinch River Breeder Reactor Plant), 16 NRC 412, 429-433 (1982).
t
- 6. NRDC's Interests - NRDC persists in its argument Although their that issuance of a PID will harm its interests.
assertion that the PID would be useless as precedent cannot be this Board's time to delve into what NRDC believes that the Applicants should or should not have done before the Appeal Board.. What was done is done, and the matter is now conclu-ded by the Appeal Roard.
, ~ ~ - , - .
,-.-.-,--.n..., ,.,,.,c, . . , , , , - ~ , , , , - ,,-,_-,.,,n,,, , ,, , , , - - - - , - - - - .
squared with their claims of harm, judging from the shrill tone of NRDC's Reply, it is -doubtless true that NRDC does not want a '
CP PID which resolves the issues before the Board in Applicants' favor. But the controlling question here is whether there is an interest which NRDC has a legal right to protect. The simple answer is no. NRDC forfeited all' rights in regard to the'CP is-sues before the Board when it withdrew and was dismissed, and when it failed to file Proposed Findings in disregard of the Board's August 11, 1983 Order. The Board's dismissal of NRDC did not include a ruling as to its legal effect. The Board al-lowed it to have whatever legal effect it might have. Trans-cript June 29, 1983 at 7732-33. Unfortunately, for NRDC, the effect it has here is terminal. NRDC has no cognizable interest in the PID, and its Motion to Intervene must be denied.
Accordingly, for the reasons stated above and in Appli-cants' December 5, 1983 Response to Motion of Natural Resources Defense Council, Inc. to Intervene, NRDC's Motion to Intervene
(
p should be denied, and the Board should proceed to issue the CP PID.
Respectfully submitted, .
,/
m t
C age Lh Edgar Attorney for Project Management Of Counsel: Corporation Newman & Holtzinger, P.C. ,
1025 Connecticut Ave., N.W. ., 9
[ p/
Washington, D.C. 20036 -7,,f 2 Telephone: (202) 862-8400 a
William D. Luck Attorney for United States De-partment of Energy Dated: January 9, 1984 l
_s e
UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD ,
In the Matter of )
)
UNITED STATES DEPARTMENT OF ENERGY ) '
)
- PROJECT MANAGEMENT CORPORATION ) Docket No. 50-537CP
)
TENNESSEE VALLEY AUTHORITY )
)
(Clinch River Breeder Reactor Plant)))
CERTIFICATE OF SERVICE Service has been effected on this date by first class mail to the following:
j Marshall E. Miller, Esquire Chairman Atomic Safety and Licensing Board Nuclear Regulatory Commission 4350 East-West Highway .
Bethesda, Maryland 20814 (2 copies by hand)
Dr. Cadet H. Hand, Jr.
Director Bodega Marine Laboratory University of California West Side Road Bodega Bay, California 94923 Mr. Gustave A. Linenberger Atomic Safety and Licensing Board Nuclear Regulatory Commission l 4350 East-West Highway Bethesda, Maryland 20814 (by hand)
Mr. Gary J. Edles Chairman Atomic Safety and Licensing Appeal Board Nuclear Regulatory Commission 4350 East-West Highway Bethesda, Maryland 20814
r i
Dr. W. Reed Johnson i
Atomic Safety and Licensing Appeal Board ' ' - ~
U.S. Nuclear Regulatory Commission -
4350 East-West Highway Bethesda, Maryland 20814 Mr. Howard A. Wilber l Atomic Safety and Licensing Appeal Board U.S. Nuclear Regulatory Commission 4350 East-West Highway Bethesda, Maryland 20814 Atomic Safety and Licensing Board Panel U.S. Nuclear Regulatory Commission Washington, D.C. 20555
- Docket & Service Section Office of the Secretary U.S. Nuclear Regulatory Commission Washington, D.C. 20555 (original and 3 copies delivered by hand)
Stuart Treby, Esquire Sherwin E. Turk, Esquire Elaine I. Chan, Esquire Geary S. Mizuno, Esquire Office of Executive Legal Director U.S. Nuclear Regulatory Commission 7735 Old Georgetown Road Bethesda, Maryland 20814 (2 copies by hand) l William M. Leech, Jr., Esquire William B. Hubbard, Esquire Michael D. Pearigen, Esquire State of Tennessee Office of the Attorney General 450 James Robertson Parkway Nashville, Tennessee 37219 Oak Ridge Public Library l
Civic Center Oak Ridge, Tennessec 37830 Herbert S. Sanger, Jr., Esquire Lewis E. Wallace, Esquire W. Walter LaRoche, Esquire James F. Burger, Esquire Edward J. Vigluicci, Esquire Tennessee Valley Authority Office of the General Counsel 400 West Summit Hill Drive (2 Knoxville, Tennessee 37902 copies)
Lawson McGhee Public Library 500 West Church Street Knoxville, Tennessee 37902
- b William R. Lantrip, Esquire Attorney for the City of Oak Ridge . , . , _
Post Office Box 1 Oak Ridge, Tennessee 37830 Leon Silverstrom, Esquire William D. Luck,. Esquire U.S. Department of Energy 1000 Independence Avenue, S.W.
Room 6B-256 Washington, D.C. 20585 (2 copies by hand)
Commissioner John L. Parish Tennessee Department of Economic and Community Development Andrew Jackson Building Suite 1007 Nashville, Tennessee 37219 Barbara A. Finamore, Esquire S. Jacob Scherr, Esquire Natural Resources Defense Council, Inc.
1725 Eye Street, N.W., Suite 600 Washington, D.C. 20006 Attorney for Profettff George L M dgar Management Corporation Newman & Holtzinger 1025 Connecticut Avenue, N.W.
Suite 1200 Washington, D.C. 20036 Telephone: (202) 862-8459 Dated: January 9, 1984
- / Denotes service by hand at 1717 "H" Street, N.W.
Washington, D.C.
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