ML20100B085

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Forwards Eh Harris Affidavit on EPJ-4(a)-(c) Re Rev of Emergency Procedure for Evaluating Schools by Reducing Number of Students on Each Bus & by Using Only Buses Kept on School Property During School Hours.Related Correspondence
ML20100B085
Person / Time
Site: Harris Duke Energy icon.png
Issue date: 03/22/1985
From: Hollar D
CAROLINA POWER & LIGHT CO.
To: Bright G, Carpenter J, Joseph Kelly
Atomic Safety and Licensing Board Panel
Shared Package
ML20100B089 List:
References
CON-#185-211 OL, NUDOCS 8503260369
Download: ML20100B085 (2)


Text

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. nn alED Carolina Power & I.ight Cdispany POST OFFICE box 1551 Raleigh, North Carolina 27,602 < 3 M1 :09 ,

IIGAt. DEPARTMENT Writer's Direct Dial Number _ _yn-

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J' March 22,1985 (919) 8M-7678 i

l James L. Kelley, Esquire Mr. Glenn O. Bright Chairman Atomic Safety and Licensing Board Atomic Safety and Licensing Board U. S. Nuclear Regulatory Commission U. S. Nuclear Regulatory Commission Washington, D.C. 20555 Washington, D.C. 20555 Dr. James H. Carpenter

! Atomic Safety and Licensing Board U. S. Nuclear Regulatory Commission Washington, D.C. 20555 f

In the Matter of Carolina Power & Light Company and North Carolina Eastern Municipal Power Agency (Shearon Harris Nuclear Power Plant) 1 Docket No. 50-400 OL Administrative Judges Kelley, Bright and Carpenter:

i Enclosed for your consideration is the Supplemental Affidavit of Edwin H.

Harris, Jr. on EPJ-4(a),4(b) and 4(c). As explained in Mr. Harris' Supplemental Affidavit, the North Carolina Division of Emergency Management has revised its procedure for i

evacuating schools by reducing the assumed number of students on each school bus and by using only school buses which are kept on school property during school hours. This has necessitated revising some of the information contained in the Affidavits of Jesse T.

Pugh, III on EPJ-4(a), 4(b) and 4(c), which were submitted to the Board on January 11 and 14,1985.

I Because the revised information in Mr. Harris' Supplemental Affidavit does not

' change the basic arguments in Applicants' motions for summary disposition on EPJ-4(a),

! 4(b) or 4(c), we are not submitting new motions or statements of material facts as to which there is no genuine issue to be heard on these contentions. However, references to the affected sections of Mr. Pugh's Affidavits should be considered amended by the new information in Mr. Harris' Supplemental Affidavit.

0503260369 850322 PDR 0

ADOCK 05000400 PDR O 6

3

Applicants have provided the NRC Staff and Mr. Daniel Read, counsel for CHANGE whleh is the lead intervenor on EPJ-4, with copies of the Supplemental Affidavit. We have asked both the Staff and Mr. Read to review' the Supplemental Affidavit to determine whether it affects their responses to Applicants' motions for summary disposition on EPJ-4(a), 4(b) and 4(c). Applicants or the other parties involved will contact the Board when they have completed their review.

Respectfully submitted, Dale E. Hollar

1. /k Associate General Counsel ec: Service List 4

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