ML20102B744
| ML20102B744 | |
| Person / Time | |
|---|---|
| Site: | Harris |
| Issue date: | 02/25/1985 |
| From: | Hawkins T CAROLINA POWER & LIGHT CO., Federal Emergency Management Agency, NORTH CAROLINA MUNICIPAL POWER AGENCIES |
| To: | |
| Shared Package | |
| ML20102B739 | List: |
| References | |
| OL, NUDOCS 8503040334 | |
| Download: ML20102B744 (6) | |
Text
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UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of
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CAROLINA POWER & LIGHT COI1PANY
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and NORTH CAROLINA EASTERN
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Docket No. 50-400 OL MUNICIPAL POWER AGENCY
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(Shearon Harris Nuclear Power
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Plant)
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AFFIDAVIT OF THOMAS I.
HAWKINS IN SUPPORT OF APPLICANTS' MOTION FOR
SUMMARY
DISPOSITION OF CONTENTION EPJ-5 County of Fulton
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ss.
State of Georgia
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Thomas I. Hawkins, being duly sworn, deposes and says:
1.
My present position is Emergency Management Program Specialist for the Federal Emergency Management Agency.
Included among my responsiti2 ities is the radiological emergency planning liaison function between FEMA Region IV and the States of North
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and South Carolina.
In this position, I am responsible for the review'of radiological plans and preparedness for the State of North Carolina and the State of South Carolina and for the local governments within those States.
I have held this position since December 1981.
I have been employed by FEMA since July 1978.
A current statement of my 8503040334 850227 PDR ADOCK 0500 0
professional qualifications is attached hereto.
My business address is 1371 Peachtree Street, NE - Suite 736 - Atlanta, Georgia, 30309.
I have personal knowledge of the matters discussed herein and believe them to be true and correct.
I make this affidavit in response to Contention EPJ-5.
2.
Contention EPJ-5 contends:
Section E 4b of State Procedures (p. 47) is defi-cient because there is no listing or mechanism of identifying homebound non-ambulatory people.
Most ambulances and rescue squad vehicles are not adequately equipped to meet State standards for transporting hospitalized patients.
A sufficient number of vehicles equipped adequately to trans-port the non-ambulatory from hospitals and homes will not be available.
FEMA guid'ance-provides that "means for protecting those persons whose mobility may be impaired due to such factors as institutional or other confinement" be included in the plans to implement protec-tive measures for the plume exposure pathway (NUREG-0654, J.10.d. ).
The Harris ERP states, in Section IV, E.4.b.,
that the mobility-impaired will be identified through the use of the special needs response card contained in the brochure mailed annually and the CP&L listing of system customers on life support equipment and that the mobility-impaired will be "provided specialized transportation as required."
NUREG 0654, criterion G.l.d., provides that information on the special needs of the handicapped be included in the information to the public regarding how they will be notified and what their actions should be in an emergency.
The Plant Harris Public Infor-mation brochure will contain this information.
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FEMA guidance does not require investigation into the " number of vehicles equipped adequately to transport the non-ambulatory from hospitals and homes."
However, FEMA staff has reviewed the affidavit of Jesse T.
Pugh in support of the Applicants' Motion, and based upon the information provided in the affidavit, it appears that there are sufficient adequately equipped vehicles to transport the non-ambulatory populace.
FEMA staff and RAC also state that they have found no deficien-cies in the Plant Harris ERP concerning the subject matter of Contention EPJ-5.
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Thomas I. Hawkins Sworn to and subscribed before me this 1 5 W day of February, 1985.
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a-a NOTARY PUBLIC FOR STATE OF GEORGIA We t
Notary Pubhe, Georgia State at Large My Commission Expires:
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f Thomas I. Hawkins Professional Qualifications My present position is Emergency Management Program Specialist for the. Federal Emergency Management Agency.
I am assigned to the' Radiological Emergency Planning liaison position between FEMA Region IV and the States of North and South Carolina.
In this position, I am responsible for the review of radiological emergency plans and preparedness for the State of North Carolina and the State of South Carolina and for the local governments within these States.
I hav.e held the position of Emergency Management Program Specialist (or its equivalent) since December 1981.
I have been employed by FEMA since July 1978.
From April 1964 to January 1977 IwasemplojedasPlanningDirector of Clayton County, Georgia.
My formal education is as follows:
AB Degree, Emory University, Atlanta, GA, 1958 Master of City Planning Degree, Georgia Tech., Atlanta, GA, 1963 Completed Radiological Emergency Response Course at the U.S.
Department of Energy's Nevada Test Site, April 1982 Completed Radiological Defense Officer and Radiological Defense Instructor Course, Georgia Emergency Management Agency, Atlanta, GA, March 1982 Completed Basic Management Seminar for Emergency Management Personnel, Valdosta State College, Thomasville, GA, Winter Quarter, 1980 Completed Radiological Emergency Planning Seminar, National Emergency Training Center, Emmitsburg, Maryland, October 1982 Completed Radiological Accident Assessment Course, National Emergency Training Center, Emmitsburg, Maryland, August 1984
a UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of
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CAROLINA POWER AND LIGHT COMPANY AND )
NORTH CAROLINA EASTERN MUNICIPAL
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Docket Nos. 50-400 OL POWER AGENCY
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50-401 OL
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(Shearon Harris Nuclear Power Plant,
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Units 1 and 2)
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I hereby cert' that copies of "NRC STAFF / FEMA RESPONSE IN SUPPORT OF APPLICANTS'F ON FOR
SUMMARY
DISPOSITION OF EMERGENCY PLANNING JOINT CONTENTION
. the above-captioned proceeding have been served on the following sposit in the United States mail, first class, or deposit in the N'
.r Regulatory Commission's internal mail system (*), this 27th da. of February,1985:
James L. Kelley, Chairman
- Richard D. Wilson, M.D.
Administrative Judge 729 Hunter Street Atomic Safety and Licensing Board Apex, NC 27502 U.S. Nuclear Regulatory Commission Washington, DC 20555 Mr. Glenn O. Bright
- Travis Payne, Esq.
Administrative Judge 723 W. Johnson Street Atomic Safety and Licensing Board P.O. Box 12643 U.S. Nuclear Regulatory Commission Raleigh, NC 27605 Washington, DC 20555 Dr. James H. Carpenter
- Dr. Linda Little Administrative Judge Governor's Waste Management Building Atomic Safety and Licensing Board 513 Albermarle Building U.S. Nuclear Regulatory Commission 325 North Salisbury Street Washington, DC 20555 Raleigh, NC 27611 Daniel F. Read John Runkle, Esq. Executive Coordinator CHANGE Conservation Counsel of North Carolina P.O. Box 2151 307 Granville Rd.
Raleigh, NC 27602 Chapel Hill, NC 27514 Steven Rochlis Spence W. Perry, Esq.
Regional Counsel Associate General Counsel FEMA Office of General Counsel 1373 Peachtree Street, N.E.
FEMA Atlanta, GA 30309 500 C Street, SW Rm 840 Washington, DC 20472 L_
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. Atomic Safety and Licensing Appeal Bradley W. Jones, Esq.
Board Panel
- Regional Counsel, USNRC, Region II U.S. Nuclear Regulatory Commission 101 Marietta St., N.W. Suite 2900 Washington, DC 20555 Atlanta, GA 30323 Robert P. Gruber George Trowbridge, Esq.
Executive Director Thomas A. Baxter, Esq.
Public Staff - NCUC John H. O'Neill, Jr., Esq.
P.O. Box 991 Shaw, Pittman, Potts & Trowbridge Raleigh, NC 27602 1800 M Street, N.W.
Washington, DC 20036 Vells Eddleman Atomic Safety and Licensing Board 718-A Iredell Street Panel
- Durham, NC 27701 U.S. Nuclear Regulatory Commission Washington, DC 20555 Richard E. Jones, Esq.
Dr. Harry Foreman, Alternate Associate General Counsel Administrative Judge Carolina Power & Light Company P.O. Box 395 Mayo P.O. Box 1551 University of Minnesota Raleigh, NC 27602 Minneapolis, MN 55455 K 0%clu'()
Marj6rie U.i.athschild Counsel. for NRC Staff
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