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Category:AFFIDAVITS
MONTHYEARML20196K8861999-04-0505 April 1999 Declaration of Gordon Thompson.* Informs of Participation in Preparation of Orange County Contentions Re Proposed License Amend ML20196K9041999-03-31031 March 1999 Declaration of DA Lochbaum,Nuclear Safety Engineer Union of Concerned Scientists,Re Technical Issues & Safety Matters Involved in Harris Nuclear Plant License Amend for Sfs.* with Certificate of Svc ML18016A8191999-02-12012 February 1999 Affidavit of G Thompson Re Application by CP&L for Amend to FOL NPF-63 & NRC Review of Application & Proposes to Determine That Amend Request Involves No Significant Hazards Consideration ML20209A9071987-01-28028 January 1987 Affidavit of JW Mckay.* Provides Minor Corrections to 861017 Affidavit.Corrections Should Be Made to Allegation on Undercut Tolerances for Holes Drilled to Receive maxi-bolt Anchors.Certificate of Svc Encl ML20214S1271986-09-25025 September 1986 Affidavit of Tw Brombach Re Allegations Raised in Ps Miriello 860728 Affidavit Concerning QA Filed in Support of 860915 Motion to Reopen Record.Allegations W/O Factual Basis.Util s to Jn Grace Re Insp Encl ML20214S1051986-09-25025 September 1986 Affidavit of SA Brown Re 860728 Affidavit of Ps Miriello Concerning Radiation Exposure,Filed in Support of Motion to Reopen Record.Allegations Re Exposure to High Levels of Radiation Unsupported ML20210B6471986-09-13013 September 1986 Affidavit of Ps Miriello Re safety-related Welds That Never Received Preservice Insp ML20205F3771986-08-0606 August 1986 Affidavit of Tw Brombach Re Issues Raised in 860702 Request for Institution of Proceeding Per 10CFR2.206,specifically Allegations on Inservice Insp of Piping Welds.Insp Rept 50-400/85-48 Encl ML20210E0171986-07-28028 July 1986 Affidavit of Ps Miriello Re False Dose & Const Records Constituting Threat to Public Health & Safety ML20210B6961986-07-28028 July 1986 Affidavit of Ps Miriello Stating That QA Quality Check Program Not Used as Intended at Facility ML20210U7691986-05-16016 May 1986 Affidavit of Ps Miriello Re Failure to Act on Issues of False Dose Records,Intimidation & Unsafe Radiation Practices Until After Contention W-4 Produced ML20210U7751986-05-15015 May 1986 Affidavit of Ps Miriello Re Health Physics Supervisors Ordering Author to Agree W/False Radiation Rept & to File NRC Form 4 in Agreement W/False Radiation Rept ML20204A4921986-05-0606 May 1986 Affidavit of SA Browne Re Results of Review of Ps Miriello 860403 Affidavit in Support of Conservation Council of North Carolina & W Eddleman Request for Admission of New Contention WB-4 ML20210K7041986-04-0303 April 1986 Affidavit of Ps Miriello Re Falsification of Exposure Records.Related Info Encl.W/Certificate of Svc ML20154N2091986-03-10010 March 1986 Suppl to HR Goodwin Affidavit on Timing of Weather Alerts, Per ASLB Request.Info on Precise Times That Weather Alerts Transmitted Unavailable.Certificate of Svc Encl ML20205K6031986-02-24024 February 1986 Affidavit of RW Fell,Supporting NRC Response to Aslab Question Re Conservation Council of North Carolina Contentions 16,17 & 18.Certificate of Svc Encl ML20137P5991986-01-30030 January 1986 Affidavit of Ti Hawkins,Supporting Nrc/Fema Response to Applicant Motions for Disposition of Eddleman Contentions EPX-2 & EPX-8.Certificate of Svc Encl ML20137F4171986-01-13013 January 1986 Affidavit of W Ethridge Re Contention EPX-2.Minor Highway Patrol Radio & Telephone Communications Delays During 850517-18 Exercise Were Due to Priority Assigned to Messages & Emergency Operations Ctr.Difficulties Being Resolved ML20137J0731986-01-13013 January 1986 Affidavit of Ah Joyner in Response to Eddleman Contention EPX-8 Re Emergency Broadcast Sys.Certificate of Svc Encl ML20137F4101986-01-13013 January 1986 Affidavit of Dh Brown Re Contention EPX-2.Relay Procedure Is Normal Operating Procedure for Radiation Protection Section Communications & Causes No Significant Delays or Addl Inaccuracies ML20137F6491986-01-13013 January 1986 Affidavit of M Scott Re Contention EPX-2.Chatham County Responded Appropriately & Effectively to Experience Gained During 850517-18 Exercise.Addl Dispatchers Will Assure Response to Radio Traffic Levels.W/Certificate of Svc ML20137F6161986-01-13013 January 1986 Affidavit of Ah Joyner Re Contention EPX-2.Corrective Actions Being Taken to Resolve Communications Problems Experienced During 850517-18 Exercise.Resolutions Expected Prior to Full Power Licensing of Plant ML20137J0591986-01-10010 January 1986 Affidavit of R Capps in Response to Eddleman Contention EPX-8 Re Emergency Broadcast Sys ML20136F6401985-12-31031 December 1985 Affidavit of Dn Keast Re Correction to 851104 & 05 Oral Testimony on Eddleman Contention 57-C-3.Certification of Svc & Notice of Withdrawal Encl ML20137L7951985-11-26026 November 1985 Affidavit of Wj Hindman Re Info on Age Distribution & Gender of Daniel Intl Corp Employees & First Line QA Inspectors at Facility.Certificate of Svc Encl ML20135H8321985-09-23023 September 1985 Affidavit of SL Burch Re Undercover Drug Operation at Facility.Related Correspondence ML20135H8371985-09-19019 September 1985 Second Affidavit of SL Burch Re Drug Investigation at Facility.Related Correspondence ML20137L6741985-09-0606 September 1985 Affidavit of P Miriello Re Drug Abuse Observed at Facility Const Site.Certificate of Svc Encl ML20134H4261985-08-23023 August 1985 Affidavit of Wp Haass Re ASLB Questions Concerning Whether Public Disclosure of Info Voluntarily Submitted to NRC Would Impair NRC Future Ability to Obtain Similar Info.Notice of Appearance of Ga Berry & Certificate of Svc Encl ML20135C0421985-08-23023 August 1985 Affidavit of Wp Haass Addressing Series of Questions Propounded by ASLB Re Whether Public Disclosure of Info Contained in Certain Applicant Documents in ASLB Possession Would Impair Staff Ability to Obtain Info ML20134E7891985-08-14014 August 1985 Affidavit of Wj Hindman Responding to SL Burch 850731 Affidavit Re Undercover Drug Investigation During Fall 1984 ML20134E7761985-08-14014 August 1985 Affidavit of MW King Responding to SL Burch 850731 Affidavit Re Late 1984 Undercover Narcotics Investigation at Site ML20134E7661985-08-14014 August 1985 Affidavit of DG Joyner Responding to SL Burch 850731 Affidavit Re Late 1984 Undercover Narcotics Investigation at Site ML20134E7831985-08-0909 August 1985 Affidavit of ML Plueddemann Re Fall 1984 Undercover Drug Investigation at Site ML20133A1111985-07-31031 July 1985 Affidavit of SL Burch Re Assertions in King Affidavit & Undercover Operation of Facility Concerning Drug Abuse. Intelligence Indicated Drug Dealings & Abuse Widespread. Certificate of Svc Encl ML20129H1061985-07-11011 July 1985 Affidavit of Nj Chiangi Re Allegation in Conservation Council of North Carolina Contention WB-3.QA Program Provides Necessary Steps to Ensure Safe & Reliable Power Plant.Certificate of Svc Encl ML20129H0941985-07-10010 July 1985 Affidavit of Wj Hindman Re Allegations in Conservation Council of North Carolina Contention WB-3 That Drug Abuse Widespread & That Mgt Failed to Control Drug Use During Const ML20129H0821985-07-10010 July 1985 Affidavit of Pb Bensinger Re Allegations in Conservation Council of North Carolina Contention WB-3 That Drug Abuse Widespread & That Mgt Failed to Control Drug Use During Const.Biography Encl ML20129H0911985-07-0909 July 1985 Affidavit of Jd Ferguson Re Allegation in Conservation Council of North Carolina Contention WB-3 That Mgt Failed to Control Drug Use During Const.Cp&L Adopted Drug & Alcohol Interdepartmental Procedure.Resume & Procedure Encl ML20129H0991985-07-0909 July 1985 Affidavit of AR Pannill & Gw Flowers Re Allegation in Conservation Council of North Carolina Contention WB-3 That Mgt Failed to Control Drug Use During Const.Employees Subjected to Preemployment Background Verification ML20129H0871985-07-0909 July 1985 Affidavit of MW King Re Allegations in Conservation Council of North Carolina Contention WB-3 That Drug Use Widespread & That Mgt Failed to Control Drug Use During Const.Resume Encl ML20128M0401985-07-0808 July 1985 Affidavit of TS Elleman Supporting Util 850709 Application for Withholding Final Rept Shnp QA/QC-Const Inspector Review Panel, Per 10CFR2.790.Certificate of Svc Encl. Related Correspondence ML20128M0331985-07-0808 July 1985 Affidavit of HR Banks Supporting Util 850709 Application for Withholding Documents,Including Quality Check Rept,Concern/ Allegation Followup & Quality Check Procedure Investigation Rept,Per 10CFR2.790.Related Correspondence ML20116N7771985-05-0202 May 1985 Affidavit of Ti Hawkins in Support of Applicant Suppl to Motion for Summary Disposition of Eddleman Contention 213 Re Emergency Planning.Certificate of Svc Encl ML20116D0091985-04-25025 April 1985 Affidavit of Jf Myers Describing Recent Change to Provisions for Official Transportation Assistance for Persons in Emergency Planning Zone Needing Assistance in Event of Plant Emergency.Related Correspondence ML20112K0061985-04-0505 April 1985 Supplemental Affidavit of RG Black on Eddleman Contention 213.Provisions for Alert & Notification of Persons on Harris Lake Obviate Measures Suggested by Contention ML20112K0131985-04-0505 April 1985 Supplemental Affidavit of MR Bassiouni on Eddleman Contention 213.Rept of Proposed Siren Configuration & One Oversize Map Encl.Aperture Card Available in PDR ML20100B1011985-03-22022 March 1985 Supplemental Affidavit of Eh Harris Re Rev of School Evaluation Procedure Which Would Reduce Number of Students Riding Buses & Use of Buses Kept on Property During School Hours.Certificate of Svc Encl.Related Correspondence ML20107M5111985-02-27027 February 1985 Affidavit of Ti Hawkins in Support of Motion for Summary Disposition of Eddleman Contention 30.Emergency Response Plan Provisions Fully Comply w/NUREG-0654 ML20107K0411985-02-26026 February 1985 Affidavit of Ti Hawkins in Support of Applicant Motion for Summary Disposition of Contention EPJ-4(c).Prof Qualifications Encl.Certificate of Svc Encl 1999-04-05
[Table view] Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20217L8481999-10-25025 October 1999 NRC Staff First Supplemental Response to Applicant First Set of Discovery Requests to NRC Staff.* Staff Objects to Document Request as Being Overly Broad & Unduly Burdensome. with Certification of Svc ML20217H9661999-10-20020 October 1999 NRC Staff Second Supplemental Response to Orange County First Set of Discovery Requests to NRC Staff.* Listed Documents Requested to Be Produced.With Certificate of Svc. Related Correspondence ML20217E0881999-10-18018 October 1999 Order (Granting Discovery Extension Request).* Board of Commission of Orange County 991013 Motion for Extension of 991031 Discovery Deadline,Granted,In That Parties Shall Have Up to 991104.With Certificate of Svc.Served on 991018 ML20217F7711999-10-17017 October 1999 Corrected Notice of Deposition of SE Turner.* Orange County Gives Notice That on 991104 Deposition Upon Oral Exam of Turner Will Be Deposed with Respect to Contention TC-2. Related Correspondence ML20217F7681999-10-17017 October 1999 Orange County Third Set of Discovery Requests to NRC Staff.* Submits Third Set of Discovery Requests & Requests Order by Presiding Officer That Discovery Be Answered within 14 Days. with Certificate of Svc.Related Correspondence ML20217D6181999-10-14014 October 1999 Request for Entry Upon Harris Site.* Staff Hereby Requests That Applicant,Cp&L Permit Entry Into Shearon Harris Nuclear Plant,For Viewing & Insp of Plant Spent Fuel Pool Bldg. with Certificate of Svc.Related Correspondence ML20217E2611999-10-13013 October 1999 Orange County Second Suppl Response to Applicant First Set of Discovery Requests & First Suppl Response to NRC Staff First Set of Discovery Requests.* Clarifies That G Thompson Sole Witness.With Certificate of Svc.Related Correspondence ML20217E2581999-10-13013 October 1999 Orange County Motion for Extension of Discovery Deadline.* Orange County Requests Extension of 991031 Deadline for Concluding Discovery Proceeding.Extension Needed to Permit Dispositions of Two CP&L Witnesses.With Certificate of Svc ML20217E1461999-10-13013 October 1999 Request for Entry Upon Harris Site.* Entry Requested for Purpose of Inspecting SFP Bldg & Associated Piping.With Certificate of Svc.Related Correspondence ML20217D5561999-10-13013 October 1999 Applicant Second Set of Discovery Requests Directed to Board of Commissioners of Orange County.* Applicant Requests Answers to Listed Interrogatories & Requests for Admission. with Certificate of Svc.Related Correspondence ML20217D5761999-10-13013 October 1999 Applicant Third Supplement Response to Board of Commissioners of Orange County First Set of Discovery Requests.* Provides Addl Responses to General Interrogatory 3.With Certificate of Svc.Related Correspondence ML20217D6201999-10-12012 October 1999 NRC Staff Response to Applicant First Set of Discovery Requests to NRC Staff.* Staff Will Respond to Applicant Specific Requests within 30 Days of Receipt of Applicant Requests.With Certificate of Svc.Related Correspondence ML20217D5661999-10-12012 October 1999 NRC Staff First Supplemental Response to Orange County First Set of Discovery Requests to NRC Staff.* Supplements Response by Naming C Gratton as Person Likely to Provide Affidavit.With Certificate of Svc.Related Correspondence ML20212M0271999-10-0707 October 1999 Notice (Opportunity to Make Oral or Written Limited Appearance Statements).* Board Will Entertain Oral Limited Appearance Statements Re CP&L 981223 Amend Request. with Certificate of Svc.Served on 991007 ML20212L1441999-10-0505 October 1999 NRC Staff Response to Orange County First Set of Discovery Requests to NRC Staff.* Staff Is Now Voluntarily Providing Responses to Orange County'S Request for Production of Documents.With Certificate of Svc.Related Correspondence ML20212J0801999-09-29029 September 1999 Orange County Second Set of Document Requests to NRC Staff.* Submits Second Set of Document Requests to NRC Pursuant to 10CFR2.744 & Board Memorandum & Order,Dtd 990729.With Certificate of Svc.Related Correspondence ML20212G0001999-09-24024 September 1999 Applicant First Set of Discovery Requests Directed to NRC Staff.* Requests Access to Documents Given to Board of Commissioners by Staff Pursuant to 990920 Discovery Request. with Certificate of Svc.Related Correspondence ML20212G0081999-09-24024 September 1999 Applicant First Suppl Response to Board of Commissioners of Orange County First Set of Discovery Requests.* Suppl Provides Addl Responses to General Interrogatories 2 & 3. with Certificate of Svc.Related Correspondence ML20212D7151999-09-20020 September 1999 Applicant Response to General Interrogatories & General Document Requests in NRC Staff First Set of Discovery Requests.* CP&L Filing Responses Per Staff Request within 14 Days....With Certificate of Svc.Related Correspondence ML20212D8521999-09-20020 September 1999 Orange County First Set of Discovery Requests to NRC Staff Including Request for Order Directing NRC Staff to Answer Certain Discovery Requests.* with Certificate of Svc. Related Correspondence ML20212C1231999-09-17017 September 1999 Orange County Responses to Applicant First Set of Document Production Request.* Orange County Has No Documents Responsive to Request.With Certificate of Svc.Related Correspondence ML20211N7481999-09-10010 September 1999 NRC Staff First Set of Discovery Requests Directed to Applicant Cp&L.* Staff Requests Applicant Produce All Documents Requested by & Provided to Bcoc. with Certificate of Svc.Related Correspondence ML20211N5021999-09-0808 September 1999 Orange County Objections & Responses to NRC Staff First Set of Discovery Requests.* County Objects to Questions to Extent That Staff Seek Discovery Beyond Scope of County Two Contentions.With Certificate of Svc.Related Correspondence ML20211M4201999-09-0707 September 1999 Applicant Response to Specific Document Requests in Board of Commissioners of Orange County First Set of Discovery Requests.* with Certificate of Svc.Related Correspondence ML20211M5001999-09-0303 September 1999 Orange County Supplemental Response to Applicant First Set of Interrogatories.* with Certificate of Svc.Related Correspondence ML20211H4931999-08-30030 August 1999 Orange County Objections to Applicant First Set of Discovery Requests & Response to Applicant First Set of Interrogatories.* Objects to First Set of Discovery Requests.With Certificate of Svc.Related Correspondence ML20211B7951999-08-23023 August 1999 NRC Staff First Set of Discovery Requests Directed to Board of Commissioners of Orange County (Bcoc).* Staff Requests That Bcoc Produce All Documents Requested by Applicant. with Certificate of Svc.Related Correspondence ML20211B8361999-08-23023 August 1999 Applicant Response to General Interrogatories & General Document Requests in Board of Commissioners of Orange County First Set of Discovery Requests.* with Certificate of Svc. Related Correspondence ML20210T3531999-08-16016 August 1999 Applicant First Set of Discovery Requests Directed to Board of Commissioners of Orange County (Bcoc).* CP&L Requests That Bcoc Answer Listed General Interrogatories by 990830. with Certificate of Svc.Related Correspondence ML20210L9571999-08-0606 August 1999 Orange County First Set of Discovery Requests Directed to Applicant.* Interrogatories & Document Production Requests Cover All Info in Possession,Custody & Control of Cp&L.With Certificate of Svc.Related Correspondence ML20216E2041999-07-29029 July 1999 Memorandum & Order (Granting Request to Invoke 10CFR Part 2, Subpart K Procedures & Establishing Schedule).* Board Grants Carolina Power & Light Co 990721 Request to Proceed Under Subpart K.With Certificate of Svc.Served on 990730 ML20210B2271999-07-21021 July 1999 Applicant Request for Oral Argument to Invoke Subpart K Hybrid Hearing Procedures & Proposed Schedule.* Applicant Recommends Listed Schedule for Discovery & Subsequent Oral Argument.With Certificate of Svc ML20209G7371999-07-16016 July 1999 Notice of Hearing (License Amend Application to Expand Sf Pool Capacity).* Provides Notice of Hearing in Response to Commissioners of Orange County Request for Hearing Re CP&L Amend Application.With Certificate of Svc.Served on 990716 ML20209D1791999-07-12012 July 1999 Memorandum & Order (Ruling on Standing & Contentions).* Grants Petitioner 990212 Hearing Request Re Intervention Petition Challenging CP&L 981223 Request for Increase in Sf Storage Capacity.With Certificate of Svc.Served on 990712 ML20212J5831999-07-0101 July 1999 Notice of Appearance.* Informs That SL Uttal Will Enter Appearance in Proceeding Re Carolina Power & Light Co.Also Encl,Notice of Withdrawal for ML Zobler,Dtd 990701. with Certificate of Svc ML20196A8751999-06-22022 June 1999 Order (Corrections to 990513 Prehearing Conference Transcript).* Proposed Corrections to Transcript of Board 990513 Initial Prehearing Conference Submitted by Petitioner & Application.With Certificate of Svc.Served on 990622 ML20207D6991999-05-27027 May 1999 Orange County Proposed Corrections to Transcript of 990113 Prehearing Conference.* Orange County Submits Proposed Corrections to Transcript of Prehearing Conference of 990513.With Certificate of Svc ML20207D6651999-05-27027 May 1999 Applicant Proposed Corrections to Prehearing Conference Transcript.* ASLB Ordered That Any Participant Wishing to Propose Corrections to Transcript of 990513 Prehearing Conference Do So by 990527.With Certificate of Svc ML20207D6891999-05-27027 May 1999 Orange County Response to Applicant Proposed Rewording of Contention 3,regarding Quality Assurance.* County Intends to Renew Request for Admission of Aspect of Contention.With Certificate of Svc ML20206R8731999-05-20020 May 1999 Memorandum & Order (Transcript Corrections & Proposed Restatement of Contention 3).* Any Participant Wishing to Propose Corrections to Transcript of 990513,should Do So on or Before 990527.With Certificate of Svc.Served on 990520 ML20206R2411999-05-13013 May 1999 Transcript of 990513 Prehearing Conference in Chapel Hill,Nc Re Carolina Power & Light Co.Pp 1-176.Supporting Documentation Encl ML20206H9331999-05-11011 May 1999 Notice (Changing Location & Starting Time for Initial Prehearing Conference).* New Location for Conference, Southern Human Resources Ctr,Main Meeting Room,Chapel Hill, Nc.With Certificate of Svc.Served on 990511 ML20206G4051999-05-0505 May 1999 Applicant Answer to Petitioner Board of Commissioners of Orange County Contentions.* Requests That Technical Contentions in Section III & Environ Contentions in Section IV Not Be Admitted.With Certificate of Svc ML20206F9491999-05-0505 May 1999 NRC Staff Response to Orange County Supplemental Petition to Intervene.* None of Petitioner Proposed Contentions Meet Commission Requirements for Admissible Contention.Petitioner 990212 Request Should Be Denied.With Certificate of Svc ML20206A0851999-04-22022 April 1999 Erratum to Orange County Supplemental Petition to Intervene.* Citation to Vermont Yankee LBP-87-17,should Be Amended to Read Vermont Yankee Nuclear Power Co (Vermont Yankee Nuclear Power Station).With Certificate of Svc ML20205Q8121999-04-21021 April 1999 Order (Granting Motion to Relocate Prehearing Conference).* Initial Prehearing Conference Will Be Held in District Court of Orange County Courtroom,Chapel Hill,Nc on 990513 as Requested.With Certificate of Svc.Served on 990421 ML20196K8771999-04-0505 April 1999 Orange County Supplemental Petition to Intervene.* Informs That Orange County Contentions Should Be Admitted for Litigation in Proceeding ML20196K8861999-04-0505 April 1999 Declaration of Gordon Thompson.* Informs of Participation in Preparation of Orange County Contentions Re Proposed License Amend ML20205E3101999-04-0101 April 1999 Memorandum & Order (Protective Order).* Grants 990326 Motion of Petitioner for Approval of Proposed Protective Order to Govern Use & Dissemination of Proprietary or Other Protected Matls.With Certificate of Svc.Served on 990203 ML20196K9041999-03-31031 March 1999 Declaration of DA Lochbaum,Nuclear Safety Engineer Union of Concerned Scientists,Re Technical Issues & Safety Matters Involved in Harris Nuclear Plant License Amend for Sfs.* with Certificate of Svc 1999-09-08
[Table view] |
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Deceng,28,y984 USNRC UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION '85 JM -3 A10:16 BEFORE THE ATOMIC SAFETY AND LICENSING BOARD
$006 i NG ,
BRANCH In the Matter of )
) .
CAROLINA POWER & LIGHT COMPANY )
AND NORTH CAROLINA EASTERN ) Docket No. 50-400 OL MUNICIPAL POWER AGENCY )
-~
~-
)
(Shearon Harris Nuclear Power Plant) )
)
AFFIDAVIT OF ROBERT D. KLIMM IN SUPPORT OF APPLICANTS' MOTION FOR
SUMMARY
DISPOSITION OF EDDLEMAN CONTENTION 224 County of Middlesex )
) SS:
Commonwealth of Massachusetts )
Robert D. Klimm, being duly sworn, deposes and says as follows:
- 1. I am an Associate of HMM Associates, Inc. My business address is 336 Baker Avenue, Concord, Massachusetts 01742. A summary of my professional qualificatiens and experience is attached hereto as Attachment A. -
- 2. My responsibilities at HMM Associates include the management and supervision of evacuation time studies. I have served as either Project Manager or Principal Transportation Engineer for many of the more than twenty evacuation time analyses conducted by HMM Associates in connection with emergency planning for nuclear power plants. I was Principal Transportation Engineer for the evacuation time estimate study prepared by HMM Associates for the Shearon liarris plume exposure Emergency Planning
^
Zone (EPZ). This study is entitled " Evacuation Time Estimates for the Plume Exposure Pathway Emergency Planning Zone of the Shearon Harris Nuclear Power Plant" (October 1983) (hereinafter referred to as "ETE"). I am also responsible for all i
Ohk PDR j
l l transportation-related computer analyses conducted by HMM Associates. I was involved f
l in the system development of the NETVAC evacuation model, which is a state of the art computer evacuation simulation model. The NETVAC model has been used to estimate evacuation times for approximately 20 nuclear power plant sites. I co-authored the NETVAC model users manual. In addition, I have provided training to various groups on i
the use of the NETVAC model.
l 3. I have personal knowledge of the matters stated herein and believe them to be true and correct. I make this Affidavit in response to Eddleman Contention 224. I have reviewed this contention and am familiar with the substance of the allegations contained I
therein. I am aware that the Licensing Board admitted Eddleman Contention 224 into this proceeding insofar as it alleges that the Harris ETE does not identify the adverse weather frequency used and therefore allegedly violates the requirements of 10 C.F.R. S 50.47(aXI) and (2), and (bX10).
- 4. Detsiled criteria for the content of evacuation time analyses for nuclear power plants are contained in Appendix 4 to the joint Nuclear Regulatory Commission / Federal Emergency Management Agency criteria document on preparation of radiological emergency response plans, N UREG-0654/ FEMA-REP-1, Rev. 1 (November 1980).
Appendix 4 to NUREG-0654 requires that an evacuation time analysis be prepared m
considering adverse weather conditions, as well as normal weather conditions. Thus, it states as follows:
Two [ weather] conditions - normal and adverse - are considered in the analyses. Adverse conditions would depend on the characteristics of the specific site and could include flooding, snow, ice, fog or rain. The adverse weather frequency used in this analysis shall be identified and shall be severe enough to define the sensitivity of the analysis to the selected events. These conditions will affect both travel times and capacity.
NUREG-0654 at 4-6. _
.3
! 5. With respect to the portion of Appendix 4 quoted in paragraph 4 above,it is my understanding, based on my experience with conducting evacuation time analyses pursuant to NUREG-0G;i since 1980, that the intent of the language quoted is to ensure that the adverse weather condition occurs often enough and is severe enough to warrant-the assessment of its effect on evacuation times. For example, the evacuation time 1
i analysis should not be based on a three-foot snowfall in a locale where that may only l occur once every one hundred years. It is intended that the adverse weather condition modeled be realistic so that it can provide practical information to decisionmakers regarding protective actions in the event of an accident at a nuclear plant. The precise percentage of the time that the adverse weather condition occurs does not matter so long as it occurs frequently enough to be realistic and, thereby, useful. It should be noted that there are no ranges of acceptable quantitative frequencies for adverse f weather conditions specified in Appendix 4 to NUREG 0654 and no requirement that the choice of a scenario be based on its frequency (e.g., that the most frequent adverse 4
j condition be used in the time study). ,
- 6. The adverse weather condition modeled in the Harris ETE is a heavy rainstorm which results in a 25 percent reduction in roadway capacity and travel speeds within the Harris EPZ. ETE at 1-3,1-4, 2-3. This scenario was selected from a number of potential m
adverse weather scenarios (including snow, rain and fog) based upon a review of weather frequency and severity data presented in the Shearon Harris Final Safety Analysis Report
- - (at section 2.3) and on discussions with state and local emergency preparedness
! officials. Section 2.3 of the Harris FSAR contains detailed quantitative information on
- the meteorology of the Harris site-gathered on-site and from weather reporting stations in the same geographical area. For example, data on the frequency of thunderstorms are contained in section' 2.3.1.2.2 and data on precipitation extremes are in section 2.3.1.2.8. Based on information obtained from these sources, it was concluded that the selected scenario represents a condition which is severe enough and occurs often enough to provide a reasonable frame of reference for protective action decisionmaking during adverse weather conditions. The ETE reveals that evacuation times during this ,
adverse weather condition will be greater than during normal conditions because the methodology for the ETE is sensitive to the reductions in roadway capacity and travel speeds associated with the adverse condition. The adverse weather scenario selected is generally representative of other adverse conditions (such as light snow and fog) where visibility is impaired, roadway capacity is reduced, and normal traffic operations impeded, compared to normal fair weather conditions.
- 7. In order to confirm that the choice of the adverse weather scenario modeled in the ETE (heavy rain) is appropriate from the standpoint of frequency, more quantitative data on the historical frequency of rainfall and precipitation in the area of the Harris Plant have been collected by Carolina Power & Light Company and are shown in Attachment B to this Affidavit. Attachment B contains rainfall and precipitation frequency information for the Raleigh-Durham Airport, which is located approximately nineteen miles from the Harris Plant; thus, the information can be considered representative of that for the Harris plume EPZ. As Attachment B shows, rainfall occurs on an average of 148 days per year. However, not all of this can be considered in the category of adverse weather (that is, heavy rainfall) modeled in the ETE. Heavy rainfall m
can reasonably be defined in one of two ways: (1) thunderstorms, or (2) periods in which the rate of rainfall exceeds approximately one-half inch per hour. As shown in Attachment B, thunderstorms occur during forty-five days per year on the average.
Attachment B also shows that there are 102 hours0.00118 days <br />0.0283 hours <br />1.686508e-4 weeks <br />3.8811e-5 months <br /> per year on the average in which the rate of precipitation exceeds one-half inch per hour. This compares with a total of 8,766 hours0.00887 days <br />0.213 hours <br />0.00127 weeks <br />2.91463e-4 months <br /> in a yea.r.
- 8. The Harris ETE will be amended to reflect this quantitative frequency data. A new subsection will be added to section 6 of the ETE which pertains to the methodology of the study and Attachment B to my Affidavit'will be added as a table in the ETE. The proposed text of the new subsection is attached hereto as Attachment C. With this amendment, the ETE will fully conform with Appendix 4 to NUREG-0654 by identifying on a more quantitative basis the frequency of the adverse weather condition used.
ROBERT D. KLIMM i
Subscribed and sworn to before me this 2h6 " day of December 1984.
, , , . ,; . lotary Public
.. O
) i )\
5 (SEAL)
\
My Commission Expires:
'WCommunico Ekpires April 12,1585"
'. . Attachmtnt A-ROBERT D. KLIMM Education M.S. Civil Engineering (Transportation), Northeastern ,
University, 1979 B.S. Civil Engineering, Worcester Polytechnic Institute, 1975 Summary of Experience- ~
~
Mr. Klimm specializes in transportation engineering and emergency preparedness / evacuation planning. He has served as Project Manager or Technical Advisor on most of the evacuation time estimate analyses conducted by HMM. He also has been responsible for numerous emergency preparedness tasks for nuclear power plants including: the development of school facility evacuation plans and procedures; the development of evacuation and population data for CRAC2 and CRACIT consequence modeling; and the development of evacuation routings and time estimates for special facilities.
Mr. Klimm was involved in the system development of the NETVAC evacuation simulation model, which has been used at 20 nuclear power plant sites throughcut the country. He has provided gr training to groups that have been licensed to use the NETVAC
{ model, and was Iesponsible for conducting an Evacuation Time
(, Estimate Workshop for Public Service Electric and Gas Company of New Jersey.
Professional Experience 1980 - HMM Associates. Mr. Klimm serves as Project Present Manager and/or Principal Engineer for projects involving emergency preparedness planning and emergency evacuation. Recent experience includes the following: ,
o Principal Engineer for the development oC
- evacuation time estimates for the Susquehanna Steam Electric Station (Luzerne County,
. Pennsylvania, 1981).
o Project Manager for the preparation of supplemental evacuation time estimates for the Midland Nuclear Power Plant (Midland, Michig a n, 1983 ) . .
o Project Manager for the development of evacuation time estimates for the D.C. Cook Nuclear Plant (Berrien County, Michigan, 1984).
ROBERT D. KLIMM Page 2 o Project Manager for the development of an Evacuation Traf fic Management Plan for the .,
Midland Nuclear Power Plant Plume Exposure EPZ (Midland, Michigan, 1983).
o Principal Engineer for the preparation of evacuation time estimates for the Shearon Harris Nuclear Power Plant (Wake County, North Carolina, 1983). ,
o Project Manager for the development of an -
Evacuation Traf fic Management Plan for the primary Plymouth Station Evacuation Relocation Center (Hanover, Massachusetts, 1983).
o Principal Engineer for the development of population and evacuation data for CRACIT radiological consequence modeling within the Seabrook Station EPZ (Seabrook, New Hampshire, 1983).
.o Project Manager for the development of an
(- Evacuation Traf fic Management Plan for the Seabrook Station Plume Exposure EPZ, (Seabrook, New Hamp shi.re ,1982) .
o Project Manager for the preparation of evacuation time estimates for the Grand Gulf Nuclear Station (Clairborne County,
. Mississippi, 1981).
1977-1980 Fay, Spofford & Thorndike, Inc. Transportation Engineer.. Responsible for traf fic operations analyses; traffic control design, sp ecifica tion,s ,,
and cost estimates; transportation environmental
- impact analyses; highway safety analyses; truck circula tion s tudies, and traf fic circulation
, plans for private and public developments.
1975-1977 Central Massachusetts Regional Planning Commission. Transportation Engineer / Planner.
Responsible for transportation corridor planning >
studies, transportation systems management, traffic operations analyses, and coordination of .
, the re l plan. gional transportation air quality control
, .V e
, , Y. .
ROBERT D. KLIMM Page 3 Other Professional Data 1
Affiliations: Transportation Research Board: National Academy of Sciences Institute of Transporta tion Engineers American Society of Civil Engineers
, Boston Society of Civil Engineers Papers / .o Klimm, R., " Comparison of Optional Cycle Publications: Lengths for an Urban Arterial Signal System Using Maximum Bandwidth and Minimum -- -
Vehicle Delay Criteria," Northeastern University, 1979.
. 'o Klimm, R., " Fringe Parking and Intermodal Transportation System--Feasibility Study,"
CHRPC , 1976 o Klimm, R., Sheffi, Y., Mahnassani H.,
Powell, W., NETVAC2 USER MANUAL,",HMM Associates, 1962.
I N%
s fO 9
9
Attechm:nt B Rainfall / Precipitation Frequency Raleigh-Ourham Airport Mean Humber of Number of Hours Days With Per Year With Occurrence of Precipitation
Month Rain 1 Thunderstorms 1 Greater Than .5 inch / hour 2 January 13 1 3 February 10 1
- 0 March 13 2 April' 0 13 4 6 May 15 6 11 June 13 7 11 July 16 10 .28 August 14 8 29 September 10 3 7 October 10 2 5
, November 10 1 1 December 12 0 1 TOTAL 148 45 102
- Total precipitation equals rain plus water equivalent of snow and ice pellets (sleet).
Sources of Data:
1 .
"C11matography cf the United States No. 90 (1965-1974), Airport ^Climato-logical Summary, Raleigh, North Carolina, Raleigh-Durham Airport,"
National Oceanic and Atmospheric Administration National Climatic Center, Asheville, N.C., July, 1978.
2 "Climatography of the United States No. 82-31, Decennial Census of United States Climate--Summary of Hourly Observations 75th Meridian Time Zone--
Raleigh, N.C.,
1951-1960,a U.S. Department of Commerce, Washington, DC,
, 1963.
9 D
4 4
Att chm:nt C Adverse Weather Conditions Pursuant to NUREG-0654, Rev. I guidance, evacuation time estimates have been developed for an adverse weather condition. Adverse weather refers to what is defined as a severe rainstorm condition which would reduce roadway capacity and travel speeds by 25 percent. The adverse weather condition was chosen for analysis based upon a review of weather frequency and severity data contained in Shearon Harris Final Safety Analysis Report and discussions with State and local emergency preparedness officials.
Heavy or severe rain was chosen because it was deemed to occur often enough and to be severe enough to provide realistic and useful guidance to be used in the protective action decision-making process. Subsequent to the completion of the October 1983 evacuation time estimate study, additionalinformation on the frequency of various adverse weather conditions were prepared by CP&L. Information on the historical frequency of heavy rain is presented in Table . [ referring to Attachment B of the Klimm Affidavit]
These data indicate that thunderstorms occur during forty-five days per year on the average, with rainfall of any intensity occurring approximately 148 days of the year. The rate of precipitation exceeds one-half inch per hour during 102 hours0.00118 days <br />0.0283 hours <br />1.686508e-4 weeks <br />3.8811e-5 months <br /> per year on the average.
The use of the 25 percent reduction factor was based upon available empirical data concerning the effect of rain on traffic operations. This factor was reviewed with State and county emergency preparedness officials.
I e-8 u
l dbhrik UNITED STATES OF AMERICA NUCLEAR REGULATOIlY COMMISSION
'85 JAN -3 M0 :17 -
, BEFORE THE ATOMIC SAFETY AND LICENSING BOARD
[0Cbi iG II l In the Matter of ) BRANCH
)
CAROLINA POWER & LIGHT COMPANY )
AND NORTH CAROLINA EASTERN ) Docket No. 50-400 OL MUNICIPAL POWER AGENCY )
)
(Shearon Harris Nuclear Power Plant) )
CERTIFICATE OF SERVICE I hereby certify that copies of " Applicants' Motion for Summary Disposition of Eddleman Contention 224," " Applicants' Statement of Material Facts As To Which There is No Genuine Issue To Be Heard on Eddleman 224~," and " Affidavit of Robert D. Kilmm in Support of Applicants' Motion for Summary Disposition of Eddleman Contention 224" were served this 31st day of December,1984 by deposit in the United States mail, first class, postage prepald, to the parties on the attached Service List.
Dale E. Hollar -
Associate General Counsel Carolina Power & Light Company Post Office Box 1551 Raleigh, North Carolina 27602 (919) 836-8161 Dated: December 31,1984
i i
1 SERVICE LIST l
J;mes L. Kelley, Esquire M. Travis Payne, Esquire Atomic Safety and Licensing Board Edelstein and Payne i U. S. Nuclear Regulatory Commission Post Office Box 12643 ;
j Washington, D. C. 20555 Raleigh, North Carolina 27605 I
Mr. Olenn O. Bright Dr. Richard D. Wilson
, Atomic Safety and Licensing Board 729 Hunter Street U. S. Nuclear Regulatory Commission Apex, North Carolina 27502 Washington, D. C. 20555
, Mr. Wells Eddleman Dr. James H. Carpenter 718-A Iredell Street 4 Atomic Safety and Licensing Board Durham, North Carolina 27705 U. 5. Nuclear Regulatory Commission Washington, D. C. 20555 Thomas A. Baxter, Esquire Delissa A. Ridgway, Esquire Charles A. Barth, Esquire Shaw, Pittman, Potts & Trowbridge
) Myron Karman, Esquire 1800 M Street, NW ;
Office of Executive Legal Director Washington, D.C. 20036 U. 5. Nuclear Regulatory Commission !
Washington, D. C. 20555 Bradley W. Jones, Esquire l U. 5. Nuclear Regulatory Commission
! Docketing and Service Section Region H ,
Office of the Secretary 101 Marietta Street U. S. Nuclear Regulatory Commission Atlanta, Georgia ' 30303 4 Washington, D. C. 20555 Robert P. Gruber j Mr. Daniel F. Road, President Executive Director Chapel Hiu Anti-Nuclear Public Staff ,
i Group Effort North Carolina Utilities Commission i Post Office Box 2151 Post Offlee Box 991 Raleigh, North Carolina 27602 Raleigh, North Carolina 27602
~'
Dr. Linda Little Mr. Spence W. Perry i Governor's Waste Management Board Federal Emergency Management Agency 513 Albemarle Building 500 C Street, S.W. '
s 325 Salisbury Street Room 840 ,
Raleigh, North Carolina 27611 Washington, D. C. 20740 Mr. Steven Crockett, Esquire Steven Rochlis Atomic Safety and Licensing Federal Emergency Management Agency Board Panel 1371 Peachtree Street, N.E.
l U. S. Nuclear Regulatory Commission Atlanta,' Georgia 30309 j Washington, D. C. 20555
, John D. Runkle, Esquire Conservation Counell of North Carolina a l
307 Granville Road
- . Chapel Hill, North Carolina 27514 .
j 3 I ,
I i