ML20154B870

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Petitioner Motion Requesting to Be Informed of Communication Between NRC Staff & Applicant.* Requests That NRC & Applicant Be Required to Put Petitioner & Board on Svc List & Give Notice of Communications Re Bg&E License Renewal
ML20154B870
Person / Time
Site: Calvert Cliffs  Constellation icon.png
Issue date: 10/01/1998
From: Kohn S
AFFILIATION NOT ASSIGNED, NATIONAL WHISTLEBLOWER CENTER
To:
Atomic Safety and Licensing Board Panel
References
CON-#498-19606 98-749-01-LR, 98-749-1-LR, LR, NUDOCS 9810060039
Download: ML20154B870 (2)


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BEFORE THE DOCKETED UNITED STATES OF AMERICA USHRC NUCLEAR REGULATORY COMMISSION ATOMIC SAFETY AND LICENSING BOARDW OCT -5 P2 :36 l

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In the Matter of ) RULE % ' ~ x I

) ADJUDW ,

NAFF l BALTIMORE GAS )

& ELL rRIC CO., ) Docket Nos. 50-317 and 50-318 d al, ) License Renewal

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(Calvert Cliffs Unit I and ) ASLBP No. 98-749-01-LR l Unit 2) )

) October 1,1998 PETITIONER'S MOTION REQUESTING TO BE INFORMED OF COMMUNICATION BETWEEN THE NRC STAFF AND APPLICANT The National Whistleblower Center (Petitioner), requests that the Nuclear Regulatory Commission Staff (Staff) and Baltimore Gas and Electric Company (Applicant) include the Center and the Licensing Board on the service list for all written communications directly or indirectly related to Applicant's pending license renewal application for Calvert Cliffs Nuclear Power Plant, Units 1 & 2. Petitioner also requests that written notification be given of all status meetings concerning this Application before they occur.

The Center, hereby respectfully, makes this request for good cause based upon the fact the Commission has placed strict time constraints on this proceeding. The Petitioner is harmed by the fact that it takes two weeks to a month for documents to become available in NRC's public document room. An example that clearly demonstrates this harm is the fact that a letter dated August 28,1998 from the Staff requesting a significant amount of additional information on BG&E's Application was not placed in the public document room until September 22,1998.

9810060039 9e1001 PDR G ADOCK 05000317 pop

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(See attached letter). It is critical and essential to the Petitioner's ability to effectively participate in this proceeding to be informed of such communications and requests for

. information.

CONCLUSION For the reasons stated above, Petitioner respectfully moves this Licensing Board to require the NRC staff and the Applicant to put the Petitioner and the Licensing Board on the service list and give notice of all communications between them regarding the BG&E's Application for License Renewal.

4 Respe lly submitted, Stephen M. Kohn National Whistleblower Legal Defense and Education Fund 3233 P Street, N.W.

Washington, D.C. 20007 (202) 342-2177 Attorney for Petitioner National Whistleblower Center i

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