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Category:INTERVENTION PETITIONS
MONTHYEARML20059L9391993-11-12012 November 1993 Petitioners Supplemental Petition for Leave to Intervene.* Court Held That NRC May Not Eliminate Public Participation on Matl Issue in Interest of Making Process More Efficient. W/Certificate of Svc ML20101M7061992-06-30030 June 1992 Applicant Answer in Opposition to Amended Petition of City of Brook Park,Oh for Leave to Intervene Out of Time.* City of Brook Park Untimely Intervention Petition Should Be Denied.W/Certificate of Svc ML20101E1261992-06-15015 June 1992 Amended Petition of City of Brook Park,Oh for Leave to Intervene Out of Time.* City of Brook Park Should Be Granted Discretionary Intervention & Amended Petition for Leave to Intervene Granted for Listed Reasons.W/Certificate of Svc ML20086G6401991-11-22022 November 1991 Petitioners Amended Petition for Leave to Intervene.* Amended Petition of Ohio Citizens for Responsible Energy,Inc for Leave to Intervene to Respond to Arguments Made in Licensee & NRC Intervention Petition.W/Certificate of Svc ML20083B7981991-09-16016 September 1991 Answer of Util to City of Brook Park,Oh Suppl to Petition for Leave to Intervene.* Concluded That City Petition Failed to Satisfy Any of Three Criteria for Intervention,Therefore Leave to Intervene Should Be Denied.W/Certificate of Svc ML20083B7901991-09-16016 September 1991 Answer of Util to Petition of City of Brook Park,Oh for Leave to Intervene & Suppl Thereto.* Petition Should Be Denied Based on Listed Reasons.W/Certificate of Svc ML20083B3581991-09-0404 September 1991 City of Brook Park Suppl to Petition for Leave to Intervene.* in Consideration of Foregoing,Petition of City of Brook Park,Oh for Leave to Intervene Should Be Granted. W/Certificate of Svc & Svc List ML20082P1611991-08-23023 August 1991 Petition for Leave to Intervene & Request for Hearing.* Petitioners Have Demonstrated Right to Be Made Parties to Proceeding and Instant Petition for Leave to Intervene Should Be Granted & Proposed Contention Admitted ML20082G8921991-07-31031 July 1991 Petition of City of Brook Park,Oh for Leave to Intervene.* City Requests That NRC & ASLB Deny Applicant Request for Hearing.W/Svc List & Certificate of Svc ML20082D4411991-07-10010 July 1991 Supple by American Municipal Power-Ohio,Inc to Petition for Leave to Intervene.* Facility Requests Addl Time to Mod Suppl.W/Certificate of Svc ML20082B5111991-07-10010 July 1991 10CFR2.714(b)(1) Suppl to Conditional Petition to Intervene of City of Cleveland,Oh Submitted in Connection w/910725 Prehearing Conference.W/Certificate of Svc & Svc List ML20082B2511991-07-0303 July 1991 Petition of Util for Leave to Intervene.* If License Conditions Can Disappear & Reappear W/Shifting Economics of Electric generation,AMP-Ohio Future Will Be Seriously Jeopardized.W/Certificate of Svc ML20077G2661991-05-30030 May 1991 Petition of Alabama Electric Cooperative,Inc for Leave to Intervene.* Util Requests Intervention in Further Proceedings on Applications of Ohio Edison & Other Applicants.W/Certificate of Svc ML20043D6751990-06-0101 June 1990 Ocre Response to Licensee & NRC Staff Answers to Ocre Contention.* Ocre Contention Should Be Granted Since NRC Has No Valid Argument to Preclude Admission of Contention & 10CFR2.714(b)(2) Requirements Met.W/Certificate of Svc ML20012E6901990-03-23023 March 1990 Licensee Answer to Ocre Petition for Leave to Intervene & Request for Hearing.* Concludes That Ocre Lacks Requisite Interest in License Amend Proceeding & Requests That ASLB Rule on Ocre Petition.W/Certificate of Svc & Svc List ML20012E6771990-03-0808 March 1990 Petition for Leave to Intervene & Request for Hearing.* Ocre Requests Hearing on Util 891219 Amend Request & Submits Petition W/Intention of Becoming Full Party.Petition Should Be Granted Since Ocre Demonstrated Right to Be Made Party ML20148D0511988-01-0707 January 1988 Petition for Leave to Intervene & Request for Formal Adjudicatory Hearing.* Ocre Demonstrated Right to Be Made Party in Proceeding & Petition Should Be Granted ML20214W6371987-06-0505 June 1987 Petition of Toledo Coalition for Safe Energy,Sunflower Alliance,Inc,S Sass & SB Carter for Revocation,Mod or Suspention of OL Per 10CFR2.206.* No Regulatory Review Has Taken Place at Plant in Response to Reed Rept.W/Svc List ML20215N2451986-10-29029 October 1986 Second Supplemental Memorandum in Support of Motion to Intervene & Request That Commission Postpone Action on Full Power Operation.State Emergency Evacuation Review Team Not Convinced Plan Adequate.Certificate of Svc Encl ML20215H6861986-10-21021 October 1986 Supplemental Memorandum in Support of Motion to Intervene & Request That Commission Postpone Action on Full Power Operation.State of Oh Emergency Plan Should Be Reviewed Before Full Operation Granted.Certificate of Svc Encl ML20214U9901986-09-29029 September 1986 Reply to Licensee Response to State of Oh 860904 Petition for Leave to Intervene.State Seeking Opportunity to Advise Commission as to Serious Safety Concern Re Eventual Full Power Licensing.W/Certificate of Svc ML20214R3381986-09-23023 September 1986 Response Granting State of Oh Petition to Intervene as Interested State,To Allow Entering Proceeding to Advise Commission on Pending Immediate Effectiveness Review.W/ Certificate of Svc ML20214R5671986-09-19019 September 1986 Response to State of Oh 860904 Petition for Leave to Intervene & Request That Petition Be Denied.Certificate of Svc Encl ML20212Q8461986-09-0404 September 1986 Petition of State of Oh for Leave to Intervene.Requests Participation in Evaluating Adequacy of Licensee Offsite Evacuation Plans.Certificate of Svc Encl ML20115A5681985-03-0808 March 1985 Petition for Suspension of CPs & Nuclear Fuel Shipments & Conduct of Investigation to Ascertain Whether Central Area Power Coordinating Group Financially Qualified to Design & Construct Facility ML20078K3501983-10-14014 October 1983 Response to Util & NRC 831003 & 06 Answers,Respectively,To Ohio Citizens for Responsible Energy 830916 Motion to Resubmit Contention 2.NRC Misunderstood Thrust of Motion. Contention Should Be Admitted.W/Certificate of Svc ML20078E5161983-10-0303 October 1983 Answer Opposing Ohio Citizens for Responsible Energy 830916 Motion to Resubmit Contention 2 Re Diesel Generator Reliability.Motion Fails to Meet Criteria of Adequate Basis & Specificity.Certificate of Svc Encl ML20080H2651983-09-16016 September 1983 Motion to Resubmit Contention 2 on Diesel Generator Reliability.Good Cause Contained in Recent Documents Describing Generator Failure of Type to Be Used at Plant. Certificate of Svc Encl ML20024B7491983-07-0505 July 1983 Reply Opposing Util & NRC Responses Opposing Ohio Citizens for Responsible Energy 830510 Motion to File Contentions on SNM License Application.Certificate of Svc Encl ML20024A2871983-06-13013 June 1983 Answer Opposing Ohio Citizens for Responsible Energy 830510 Motion to Admit Five New Contentions on SNM License Application.Contentions Unjustifiably Late,Outside ASLB Jurisdiction or Moot.Certificate of Svc Encl ML20066B9791982-11-0404 November 1982 Answer to Sunflower Alliance 821019 Reply Brief to NRC & Util Answers to Sunflower Motion to Submit Addl Contention on Shift Rotation.No Support Exists for Sunflower Untimeliness Argument.Certificate of Svc Encl ML20069J9811982-10-19019 October 1982 Reply Brief Supporting Motion to Submit Addl Contention.Good Cause for Late Filing Demonstrated.Applicant Shift Rotation Plans May Not Be Incorporating Circadian Principles ML20027C5851982-10-12012 October 1982 Reply Opposing NRC & Applicant Responses to Oh Citizens for Responsible Energy Motion for Leave to File Contentions 21-26.Good Cause,Specificity & Basis Requirements Met. Certificate of Svc Encl ML20069G0481982-09-24024 September 1982 Answer Opposing Sunflower Alliance 820910 Motion to Submit Addl Contention.Good Cause for Late Filing,Basis for Contention & Nexus Between Contention & Facility Not Shown. Certificate of Svc Encl ML20027B5751982-09-16016 September 1982 Answer Opposing Oh Citizens for Responsible Energy 820818 Motion for Leave to File Contentions 21-26.Adequate Basis, Specificity or Good Cause Not Demonstrated.Certificate of Svc Encl ML20063M6271982-09-10010 September 1982 Motion to Submit Addl Contention Re Unnatural Shift Rotations.Good Cause Shown for Late Filing as Basis of Contention Is Recently Published Research.Certificate of Svc Encl ML20063J4651982-08-31031 August 1982 Answer Opposing Oh Citizens for Responsible Energy 820809 Motion for Leave to File Contention 20 Re Inadequate Consideration of Economic Consequences of Accidents.No Basis for Assertion of Deficiency Shown.Certificate of Svc Encl ML20063D0551982-08-18018 August 1982 Motion for Leave to File Contentions 21-26 Re Turbine Missiles,New Mark III Containment Concerns,Seismic Evaluation of BWR Core Thermal Hydraulics & in-core Thermocouples.W/Certificate of Svc ML20058J8551982-08-0909 August 1982 Motion for Leave to File Contention 20 Re Adequacy of Consideration of Economic Consequences of Accidents.Des (NUREG-0884) Deficient Due to Failure to Include Assessment of Disruption Caused by Accident.Certificate of Svc Encl ML20055A3641982-07-13013 July 1982 Response Opposing Conservation Council of Nc Additions to Suppl to Petition to Intervene.Opposes Contentions Under Same Rationale Identical Contentions of W Eddleman Opposed. Certificate of Svc Encl ML20052A2821982-04-22022 April 1982 Motion for Leave to File Contentions 17,18 & 19.Certificate of Svc Encl ML20004E8381981-06-0808 June 1981 Amended Contention of T Kenney.Facility Evacuation Plan Fatally Defective Since Applicant Definitions of Affected Persons,Contaminated Area,Dose Projection & Emergency Action Levels Are Deficient.Certificate of Svc Encl ML20008G1571981-05-0808 May 1981 Amended Sunflower Alliance,Inc,North Shore Alert & Citizens for Safe Energy Petition for Intervenor Status.Contentions Set Forth in Original Petition Are Adopted by Ref.Svc List Encl ML20003H5211981-04-30030 April 1981 Suppl to Oh Citizens for Responsible Energy 810311 Petition to Intervene,Enumerating Contentions to Be Litigated. Contentions Concern Clam Biofouling,Steam Generator Reliability,Radiation Blocking Agent & Steam Injury ML19345G5941981-03-20020 March 1981 Response in Opposition to Oh Citizens for Responsible Energy 810306 Petition to Intervene in OL Proceeding.Petition Fails to Establish Organizational Interest Required by 10CFR2.714.Certificate of Svc Encl ML19345G5471981-03-20020 March 1981 Response in Opposition to Sunflower Alliance,Inc Et Al 810315 Petition to Intervene in OL Proceeding.Individual Petitioners Satisfy Interest Requirements But Organization Petitioners Do Not.Certificate of Svc Encl ML19343C7791981-03-16016 March 1981 Petition to Intervene in Proceeding ML19350B9871981-03-16016 March 1981 Petition to Intervene in Licensing Proceeding.W/Certificate of Svc ML20126F5351981-03-0606 March 1981 Petition for Leave to Intervene.Util May Not Be Financially Capable to Operate Plant Safely.Requests Fes & Info Re Prehearing Conference ML20126F5291981-03-0505 March 1981 Petition to Intervene in Licensing Proceeding & Request for Hearing.Proof of Svc Encl 1993-11-12
[Table view] Category:RESPONSES & CONTENTIONS
MONTHYEARML20059L9391993-11-12012 November 1993 Petitioners Supplemental Petition for Leave to Intervene.* Court Held That NRC May Not Eliminate Public Participation on Matl Issue in Interest of Making Process More Efficient. W/Certificate of Svc ML20101M7061992-06-30030 June 1992 Applicant Answer in Opposition to Amended Petition of City of Brook Park,Oh for Leave to Intervene Out of Time.* City of Brook Park Untimely Intervention Petition Should Be Denied.W/Certificate of Svc ML20101E1261992-06-15015 June 1992 Amended Petition of City of Brook Park,Oh for Leave to Intervene Out of Time.* City of Brook Park Should Be Granted Discretionary Intervention & Amended Petition for Leave to Intervene Granted for Listed Reasons.W/Certificate of Svc ML20086G6401991-11-22022 November 1991 Petitioners Amended Petition for Leave to Intervene.* Amended Petition of Ohio Citizens for Responsible Energy,Inc for Leave to Intervene to Respond to Arguments Made in Licensee & NRC Intervention Petition.W/Certificate of Svc ML20083B7981991-09-16016 September 1991 Answer of Util to City of Brook Park,Oh Suppl to Petition for Leave to Intervene.* Concluded That City Petition Failed to Satisfy Any of Three Criteria for Intervention,Therefore Leave to Intervene Should Be Denied.W/Certificate of Svc ML20083B7901991-09-16016 September 1991 Answer of Util to Petition of City of Brook Park,Oh for Leave to Intervene & Suppl Thereto.* Petition Should Be Denied Based on Listed Reasons.W/Certificate of Svc ML20083B3581991-09-0404 September 1991 City of Brook Park Suppl to Petition for Leave to Intervene.* in Consideration of Foregoing,Petition of City of Brook Park,Oh for Leave to Intervene Should Be Granted. W/Certificate of Svc & Svc List ML20082P1611991-08-23023 August 1991 Petition for Leave to Intervene & Request for Hearing.* Petitioners Have Demonstrated Right to Be Made Parties to Proceeding and Instant Petition for Leave to Intervene Should Be Granted & Proposed Contention Admitted ML20082G8921991-07-31031 July 1991 Petition of City of Brook Park,Oh for Leave to Intervene.* City Requests That NRC & ASLB Deny Applicant Request for Hearing.W/Svc List & Certificate of Svc ML20082D4411991-07-10010 July 1991 Supple by American Municipal Power-Ohio,Inc to Petition for Leave to Intervene.* Facility Requests Addl Time to Mod Suppl.W/Certificate of Svc ML20082B5111991-07-10010 July 1991 10CFR2.714(b)(1) Suppl to Conditional Petition to Intervene of City of Cleveland,Oh Submitted in Connection w/910725 Prehearing Conference.W/Certificate of Svc & Svc List ML20082B2511991-07-0303 July 1991 Petition of Util for Leave to Intervene.* If License Conditions Can Disappear & Reappear W/Shifting Economics of Electric generation,AMP-Ohio Future Will Be Seriously Jeopardized.W/Certificate of Svc ML20077G2661991-05-30030 May 1991 Petition of Alabama Electric Cooperative,Inc for Leave to Intervene.* Util Requests Intervention in Further Proceedings on Applications of Ohio Edison & Other Applicants.W/Certificate of Svc ML20043D6751990-06-0101 June 1990 Ocre Response to Licensee & NRC Staff Answers to Ocre Contention.* Ocre Contention Should Be Granted Since NRC Has No Valid Argument to Preclude Admission of Contention & 10CFR2.714(b)(2) Requirements Met.W/Certificate of Svc ML20012E6901990-03-23023 March 1990 Licensee Answer to Ocre Petition for Leave to Intervene & Request for Hearing.* Concludes That Ocre Lacks Requisite Interest in License Amend Proceeding & Requests That ASLB Rule on Ocre Petition.W/Certificate of Svc & Svc List ML20012E6771990-03-0808 March 1990 Petition for Leave to Intervene & Request for Hearing.* Ocre Requests Hearing on Util 891219 Amend Request & Submits Petition W/Intention of Becoming Full Party.Petition Should Be Granted Since Ocre Demonstrated Right to Be Made Party ML20148D0511988-01-0707 January 1988 Petition for Leave to Intervene & Request for Formal Adjudicatory Hearing.* Ocre Demonstrated Right to Be Made Party in Proceeding & Petition Should Be Granted ML20214W6371987-06-0505 June 1987 Petition of Toledo Coalition for Safe Energy,Sunflower Alliance,Inc,S Sass & SB Carter for Revocation,Mod or Suspention of OL Per 10CFR2.206.* No Regulatory Review Has Taken Place at Plant in Response to Reed Rept.W/Svc List ML20215N2451986-10-29029 October 1986 Second Supplemental Memorandum in Support of Motion to Intervene & Request That Commission Postpone Action on Full Power Operation.State Emergency Evacuation Review Team Not Convinced Plan Adequate.Certificate of Svc Encl ML20215H6861986-10-21021 October 1986 Supplemental Memorandum in Support of Motion to Intervene & Request That Commission Postpone Action on Full Power Operation.State of Oh Emergency Plan Should Be Reviewed Before Full Operation Granted.Certificate of Svc Encl ML20214U9901986-09-29029 September 1986 Reply to Licensee Response to State of Oh 860904 Petition for Leave to Intervene.State Seeking Opportunity to Advise Commission as to Serious Safety Concern Re Eventual Full Power Licensing.W/Certificate of Svc ML20214R3381986-09-23023 September 1986 Response Granting State of Oh Petition to Intervene as Interested State,To Allow Entering Proceeding to Advise Commission on Pending Immediate Effectiveness Review.W/ Certificate of Svc ML20214R5671986-09-19019 September 1986 Response to State of Oh 860904 Petition for Leave to Intervene & Request That Petition Be Denied.Certificate of Svc Encl ML20212Q8461986-09-0404 September 1986 Petition of State of Oh for Leave to Intervene.Requests Participation in Evaluating Adequacy of Licensee Offsite Evacuation Plans.Certificate of Svc Encl ML20115A5681985-03-0808 March 1985 Petition for Suspension of CPs & Nuclear Fuel Shipments & Conduct of Investigation to Ascertain Whether Central Area Power Coordinating Group Financially Qualified to Design & Construct Facility ML20078K3501983-10-14014 October 1983 Response to Util & NRC 831003 & 06 Answers,Respectively,To Ohio Citizens for Responsible Energy 830916 Motion to Resubmit Contention 2.NRC Misunderstood Thrust of Motion. Contention Should Be Admitted.W/Certificate of Svc ML20078E5161983-10-0303 October 1983 Answer Opposing Ohio Citizens for Responsible Energy 830916 Motion to Resubmit Contention 2 Re Diesel Generator Reliability.Motion Fails to Meet Criteria of Adequate Basis & Specificity.Certificate of Svc Encl ML20080H2651983-09-16016 September 1983 Motion to Resubmit Contention 2 on Diesel Generator Reliability.Good Cause Contained in Recent Documents Describing Generator Failure of Type to Be Used at Plant. Certificate of Svc Encl ML20024B7491983-07-0505 July 1983 Reply Opposing Util & NRC Responses Opposing Ohio Citizens for Responsible Energy 830510 Motion to File Contentions on SNM License Application.Certificate of Svc Encl ML20024A2871983-06-13013 June 1983 Answer Opposing Ohio Citizens for Responsible Energy 830510 Motion to Admit Five New Contentions on SNM License Application.Contentions Unjustifiably Late,Outside ASLB Jurisdiction or Moot.Certificate of Svc Encl ML20066B9791982-11-0404 November 1982 Answer to Sunflower Alliance 821019 Reply Brief to NRC & Util Answers to Sunflower Motion to Submit Addl Contention on Shift Rotation.No Support Exists for Sunflower Untimeliness Argument.Certificate of Svc Encl ML20069J9811982-10-19019 October 1982 Reply Brief Supporting Motion to Submit Addl Contention.Good Cause for Late Filing Demonstrated.Applicant Shift Rotation Plans May Not Be Incorporating Circadian Principles ML20027C5851982-10-12012 October 1982 Reply Opposing NRC & Applicant Responses to Oh Citizens for Responsible Energy Motion for Leave to File Contentions 21-26.Good Cause,Specificity & Basis Requirements Met. Certificate of Svc Encl ML20069G0481982-09-24024 September 1982 Answer Opposing Sunflower Alliance 820910 Motion to Submit Addl Contention.Good Cause for Late Filing,Basis for Contention & Nexus Between Contention & Facility Not Shown. Certificate of Svc Encl ML20027B5751982-09-16016 September 1982 Answer Opposing Oh Citizens for Responsible Energy 820818 Motion for Leave to File Contentions 21-26.Adequate Basis, Specificity or Good Cause Not Demonstrated.Certificate of Svc Encl ML20063M6271982-09-10010 September 1982 Motion to Submit Addl Contention Re Unnatural Shift Rotations.Good Cause Shown for Late Filing as Basis of Contention Is Recently Published Research.Certificate of Svc Encl ML20063J4651982-08-31031 August 1982 Answer Opposing Oh Citizens for Responsible Energy 820809 Motion for Leave to File Contention 20 Re Inadequate Consideration of Economic Consequences of Accidents.No Basis for Assertion of Deficiency Shown.Certificate of Svc Encl ML20063D0551982-08-18018 August 1982 Motion for Leave to File Contentions 21-26 Re Turbine Missiles,New Mark III Containment Concerns,Seismic Evaluation of BWR Core Thermal Hydraulics & in-core Thermocouples.W/Certificate of Svc ML20058J8551982-08-0909 August 1982 Motion for Leave to File Contention 20 Re Adequacy of Consideration of Economic Consequences of Accidents.Des (NUREG-0884) Deficient Due to Failure to Include Assessment of Disruption Caused by Accident.Certificate of Svc Encl ML20055A3641982-07-13013 July 1982 Response Opposing Conservation Council of Nc Additions to Suppl to Petition to Intervene.Opposes Contentions Under Same Rationale Identical Contentions of W Eddleman Opposed. Certificate of Svc Encl ML20052A2821982-04-22022 April 1982 Motion for Leave to File Contentions 17,18 & 19.Certificate of Svc Encl ML20004E8381981-06-0808 June 1981 Amended Contention of T Kenney.Facility Evacuation Plan Fatally Defective Since Applicant Definitions of Affected Persons,Contaminated Area,Dose Projection & Emergency Action Levels Are Deficient.Certificate of Svc Encl ML20008G1571981-05-0808 May 1981 Amended Sunflower Alliance,Inc,North Shore Alert & Citizens for Safe Energy Petition for Intervenor Status.Contentions Set Forth in Original Petition Are Adopted by Ref.Svc List Encl ML20003H5211981-04-30030 April 1981 Suppl to Oh Citizens for Responsible Energy 810311 Petition to Intervene,Enumerating Contentions to Be Litigated. Contentions Concern Clam Biofouling,Steam Generator Reliability,Radiation Blocking Agent & Steam Injury ML19345G5941981-03-20020 March 1981 Response in Opposition to Oh Citizens for Responsible Energy 810306 Petition to Intervene in OL Proceeding.Petition Fails to Establish Organizational Interest Required by 10CFR2.714.Certificate of Svc Encl ML19345G5471981-03-20020 March 1981 Response in Opposition to Sunflower Alliance,Inc Et Al 810315 Petition to Intervene in OL Proceeding.Individual Petitioners Satisfy Interest Requirements But Organization Petitioners Do Not.Certificate of Svc Encl ML19343C7791981-03-16016 March 1981 Petition to Intervene in Proceeding ML19350B9871981-03-16016 March 1981 Petition to Intervene in Licensing Proceeding.W/Certificate of Svc ML20126F5351981-03-0606 March 1981 Petition for Leave to Intervene.Util May Not Be Financially Capable to Operate Plant Safely.Requests Fes & Info Re Prehearing Conference ML20126F5291981-03-0505 March 1981 Petition to Intervene in Licensing Proceeding & Request for Hearing.Proof of Svc Encl 1993-11-12
[Table view] Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20212J1581999-09-30030 September 1999 Order Approving Transfer of License & Conforming Agreement. Orders That License Transfer Approved,Subj to Listed Conditions ML20205D4901999-02-22022 February 1999 Transcript of 990222 Informal Public Hearing on 10CFR2.206 Petition in Rockville,Md.Pp 1-105.Supporting Documentation Encl ML20198D9711998-11-0909 November 1998 Petition Per 10CFR2.206 Requesting That Facility Be Immediately Shut Down & OL Be Suspended or Modified Until Such Time That Facility Design & Licensing Bases Properly Updated to Permit Operation with Failed Fuel Assemblies ML20155F4561998-08-26026 August 1998 Demand for Info Re False Info Allegedly Provided by Wh Clark to Two NRC Licensees.Nrc Considering Whether Individual Should Be Prohibited from Working in NRC-licensed Activities for Period of 5 Yrs ML20236V5261998-07-20020 July 1998 Computer Access & Operating Agreement Between Cleveland Electric Illuminating Co & NRC PY-CEI-NRR-2284, Comment Opposing Proposed Generic Communication, Lab Testing of Nuclear-Grade Activated Charcoal1998-05-21021 May 1998 Comment Opposing Proposed Generic Communication, Lab Testing of Nuclear-Grade Activated Charcoal ML20216B5111998-04-0909 April 1998 Order Imposing Civil Monetary Penalty.Denies Request for Remission of Violation C,Ea 97-430 & Orders Licensee to Pay Civil Penalty in Amount of $50,000 within Next 30 Days PY-CEI-NRR-2269, Comment on Proposed Rule 10CFR50.NRC Should Demonstrate That Not Only Is Code Process Flawed,But That Proposed Change Justified from Cost Versus Safety Protective1998-04-0303 April 1998 Comment on Proposed Rule 10CFR50.NRC Should Demonstrate That Not Only Is Code Process Flawed,But That Proposed Change Justified from Cost Versus Safety Protective ML20217J0661998-03-11011 March 1998 Order Approving Application Re Merger Agreement Between Dqe, Inc & Allegheny Power System,Inc ML20216G3821998-03-11011 March 1998 Order Approving Application Re Merger Agreement Between Duquesne Light Co & Allegheny Power Systems,Inc ML20198P9311997-11-0707 November 1997 Comments of American Municipal Power-Ohio,Inc.NRC Should Require Allegheny Power Sys,Inc to Affirm That Capco Antitrust License Conditions Will Be Followed ML20134L3401997-01-22022 January 1997 Resolution 96-R-85, Resolution Supporting Merger of Centerior Energy Corp & Ohio Edison Under New Holding Co Called Firstenergy ML20133B6941996-12-18018 December 1996 Submits Ordinance 850-96 Re Approval of Merger of Centerior & Oh Edison Into Firstenergy ML20135F4731996-12-0606 December 1996 Memorandum & Order CLI-96-13.* Commission Reverses & Vacates ASLB LBP-95-17 Which Granted Motion for Summary Disposition Submitted by Ocre & Hiatt.W/Certificate of Svc.Served on 961206 ML20132A8461996-12-0202 December 1996 Resolution 20-1996 Supporting Merger of Ohio Edison & Centerior Corp Under New Holding Company Called Firstenergy ML20134M6191996-10-28028 October 1996 Proclamation of Support by City of Sandusky,Oh Re Merger of Ohio Edison and Centerior Energy Corp ML20112J8281996-06-18018 June 1996 Licensee Reply Brief on Review of Licensing Board Decision LBP-95-17.* W/Certificate of Svc ML20112D8721996-05-29029 May 1996 Intervenor Brief in Support of Commission Affirmation of LBP-95-17.* Commission Should Affirm Licensing Board Decision.W/Certificate of Svc ML20108D9571996-05-0303 May 1996 CEI Response to City of Cleveland 2.206 Petition.Nrc Should Deny Petition ML20108B7571996-04-26026 April 1996 Licensee Brief on Review of Licensing Board Decision LBP-95-17.* Recommends That Commission Reverse Board Memorandum & Order Issued 951004.W/Certificate of Svc & Svc List PY-CEI-NRR-2034, Comment Opposing Proposed Rule 10CFR20 Re Reporting Requirements for Unauthorized Use of Licensed Radioactive Matl1996-03-11011 March 1996 Comment Opposing Proposed Rule 10CFR20 Re Reporting Requirements for Unauthorized Use of Licensed Radioactive Matl ML20097B8721996-01-23023 January 1996 Petition of City of Cleveland,Oh for Expedited Issuance of Nov,Enforcement of License Conditions & Imposition of Appropriate Fines,Per 10CFR2.201,2.202,2.205 & 2.206 ML20097B8911996-01-23023 January 1996 Motion of City of Cleveland,Oh for Partial Summary Judgement or in Alternative,For Severance of Issue & Expedited Hearing Procedures ML20101B5841996-01-23023 January 1996 Motion of City of Cleveland,Oh for Partial Summary Judgement Or,In Alternative,For Severance of Issue & Expedited Hearing Procedures.W/Certificate of Svc ML20096E2471996-01-0303 January 1996 Comment on PRM 50-64 Re Stockpiling Ki for Use as Thyroid Protectant in Event of Nuclear Accident.Supports Distribution of Ki to Public ML20094N1951995-11-17017 November 1995 Oh Edison Application for License Transfer in Connection W/ Sale & Related Transactions ML20094M5941995-11-15015 November 1995 Intervenors Answer to Licensees Petition for Review.* Intervenor Conclude That Commission Should Not Review Board Decision.W/Certificate of Svc ML20094J9141995-11-0707 November 1995 Petition for Review.* Submits That Commission Review of Board Decision Appropriate Under 10CFR2.786. W/Certificate of Svc & Svc List ML20093N9491995-10-23023 October 1995 Licensee Request for Extension of Time to File Petition for Review.* Requests That Commission Grant Extension Until 951107 of Deadline for Filing Petition for Review. W/Certificate of Svc ML20065L3571994-04-0505 April 1994 Intervenors Answer to NRC Staff Response to Intervenors Motion for Summary Disposition & Licensees Cross Motion for Summary Disposition.* Urges Board to Deny Licensee Cross Motion.W/Certificate of Svc ML20064N9201994-03-21021 March 1994 Affidavit of RW Schrauder in Support of Licensee Cross Motion for Summary Disposition & Answer to Ohio Citizens for Responsible Energy,Inc & SL Hiatt Motion for Summary Disposition. W/Svc List ML20064N6341994-03-21021 March 1994 Affidavit of RW Schrauder in Support of Licensee Cross Motion for Summary Disposition & Answer to Ohio Citizens for Responsible Energy,Inc & SL Hiatt Motion for Summary Disposition.W/Certificate of Svc ML20064N6081994-03-21021 March 1994 Licensee Cross Motion for Summary Disposition & Answer to Ohio Citizens for Responsible Energy,Inc & SL Hiatt Motion for Summary Disposition.* Moves for Decision in Licensee Favor on Ocre Contention ML20063L4621994-02-0707 February 1994 Motion for Summary Disposition.* Intervenors Request That Board Grant Summary Disposition Favorably & Issue Declaratory Relief by Finding Challenged Portion of Amend 45 to Be in Violation of Aea.W/Certificate of Svc ML20058P4451993-12-13013 December 1993 Licensee Answer to Ohio Citizens for Responsible Energy,Inc & SL Hiatt Supplemental Petition for Leave to Intervene.* W/Certificate of Svc ML20059L9391993-11-12012 November 1993 Petitioners Supplemental Petition for Leave to Intervene.* Court Held That NRC May Not Eliminate Public Participation on Matl Issue in Interest of Making Process More Efficient. W/Certificate of Svc ML20059B1421993-10-19019 October 1993 Order.* Petitioners Shall File Supplemental Petition in Accordance W/Schedule in 931018 Order.W/Certificate of Svc. Served on 931020 ML20059B1761993-10-18018 October 1993 Order.* Informs That for Each Contention,Petitioners Shall Comply Fully W/Requirements of 10CFR2.714(b)(2)(i),(ii) & (III) & Their Filing Should Address Requirements Set Forth in Regulations.W/Certificate of Svc.Served on 931019 ML20059B0701993-10-12012 October 1993 Motion to Defer Consideration of Remanded Issue.* Requests That Licensing Board Defer Consideration of Remanded Issue Pending Outcome of Commission Review of 2.206 Process.W/ Certificate of Svc ML20058M8761993-09-30030 September 1993 Memorandum & Order CLI-93-21.* Appeal for Hearing Re Amend to Plant OL Denied.W/Certificate of Svc.Served on 930930 ML20057C0461993-09-21021 September 1993 Supplemental Director'S Decision DD-93-15 Involving 920929 Request for Certain Actions to Be Taken Re Proposed Construction of Interim onsite,low-level Radioactive Waste Facility at Plant.Request Denied ML20056C8951993-07-19019 July 1993 Order Extending Time within Which Commission May Rule on Petitions for Review of LBP-92-32.W/Certificate of Svc. Served on 930720 ML20045B5661993-06-0707 June 1993 Comment Re Proposed Generic Communication on Mod of TS Administrative Control Requirements for Emergency & Security Plans,As Published in Fr on 930401 (58FR17293).Believes Concept of Technical Review Not Addressed by STS ML20044E2781993-05-13013 May 1993 Comment Supporting Petition for Rulemaking PRM-50-58 Re VEPCO Petition to Change Frequency of Emergency Planning Exercise from Annual to Biennial ML20127A6171993-01-0606 January 1993 Order.* Time within Which Commission May Rule on Petitions for Review of Board Order LBP-92-32,dtd 921118,extended Until 930208.W/Certificate of Svc.Served on 930106 ML20126D5171992-12-23023 December 1992 City of Brook Park Answer to Petitions for Review.* Opposes Applicants 921208 Petitions for Review Based on Fact That ASLB Decision in proceeding,LBP-92-32,adequately Addressed Issues Raised in Petitions.W/Certificate of Svc ML20126F6501992-12-23023 December 1992 Answer of City of Cleveland,Oh,Intervenor,In Opposition to Petitions for Review of 921118 Decision of Aslb.* Petitioners Petitions for Review Should Be Denied. Certificate of Svc Encl ML20126D5801992-12-23023 December 1992 NRC Staff Answer in Response to Petitions for Review Filed by Oh Edison Co,Cleveland Electric Illuminating Co,Toledo Edison Co & City of Cleveland.* W/Certificate of Svc ML20126D5781992-12-23023 December 1992 Answer of American Municipal Power-OH,Inc in Opposition to Petitions for Review of Oh Edison Co & Cleveland Electric Illuminating Co/Toledo Edison Co.* W/Certificate of Svc ML20126D5461992-12-23023 December 1992 Answer of Cleveland Electric Illuminating Co & Toledo Edison Co to Limited Petition for Review of City of Cleveland,Oh of 921118 Decision of Aslb.* Commission Should Deny City of Cleveland Petition.W/Certificate of Svc 1999-09-30
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I i
DOCKETED USN"C
'86 SEP 24 P3 :16 UNITED STATES OF AMERICA Jr'
""~
NUCLEAR REGULATORY COMMISSION BEFORE TIIE COMMISSION In the Matter of )
)
CLEVELAND ELECTRIC ) Docket No. 50-440 OL ILLUMINATING COMPANY, ET AL. ) {
50-441 OL
)
(Perry Nuclear Power Plant, )
Units 1 and 2) )
NRC STAFF RESPONSE TO PETITION FOR LEAVE TO INTERVENE FILED BY Tile STATE OF 01110 Colleen P. Woodhead Counsel for NRC Staff September 23, 1986 0
8609290146 860923 PDR 0 ADOCK 05000440 PDR Nd7
( -- - - - - - - - - - - - - - - - - - - -
h UNITED STATES OF AMERICA
, NUCLEAR REGULATORY COMMISSION BEFORE TIIE COMMISSION In the Matter of )
)
CLEVELAND ELECTRIC ) Docket No. 50-440 OL ILLUMINATING COMPANY, ET AL. ) 50-441 OL
)
(Perry Nuclear Power Plant, )
Units 1 and 2) )
NRC STAFF RESPONSE TO PETITION FOR LEAVE TO INTERVENE FILED BY THE STATE OF OHIO l
l Colleen P. Woodhead Counsel for NRC Staff September 23, 1986
I i
I i
! UNITED STATES OF AMERICA l NUCLEAR REGULATORY COMMISSION 1*
i l BEFORE TIIE COMMISSION
!o l In the Matter of )
i
)
l CLEVELAND ELECTRIC ) Docket No. 50-440 OL
! ILLUMINATING COMPANY, ET AL. ) 50-441 OL
- i )
1 (Perry Nuclear Power Plant, )
j Units 1 and 2) )
I i.
i NRC STAFF RESPONSE TO j PETITION FOR LEAVE TO INTERVENE
! FILED BY Tile STATE OF OHIO I. INTRODUCTION i By Petition for Leave to Intervene dated September 4, 1986 i
j (Petition) , the State of Ohio (Ohio) requested leave to intervene as an l interested State pursuant to 10 C.F.R. I 2.715(c) of the Commission's Rules of Practice. In its Petition Ohio stated that it seeks to preserve i its right to a reasonable opportunity to participate in the Perry licensing j proceedings and to introduce evidence, interrogate witnesses, and advise f
1 the Commission. Specifically, Ohio states its interest in the adequacy of l
l the licensee's offsite evacuation plans , and asks the Commission to i
j withhold the full power license for the Perry Nuclear Power Plant (PNPP) i l until Ohio has reevaluated the plans. Petition at 1. The NRC staff 1
l (Staff) sets out its view of the Ohio petition below, i
i.
II. BACKGROUND i.
i The adjudicatory proceeding to consider issues raised concerning the i
i application for an operating license for PNPP began in 1981 with the I
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l Commission's notice of receipt of application and opportunity for hearing
. published in the Federal Register. O Nineteen parties were initially admitted to the proceeding including Lake County and Ashtabula County, Ohio as 10 C.F.R. I 2.715(c) participants. - Public hearings on the intervenors' issues were held before the Atomic Safety and Licensing 9
Board (Licensing Board) in 1983 and 1985 in Painesville and Perry, Ohio.
A Partial Initial Decision was issued by the Licensing Board in December, 1983 3_/ and a Concluding Partial Initial Decision was issued in September, 1985. O Both initial decisions were appealed by the intervenors and were affirmed by the Atomic Safety and Licensing Appeal Board ( Appeal Board) . 5,/
A Notice of Appeal of ALAB-841 filed by Sunflower with the Commis-sion was subsequently withdrawn. 6,/ A motion for continuance of the Commission's meeting scheduled for September 5,1986 and the issuance of a full power license for PNPP was filed by OCRE on August 26. The i Commission denied the motion by Memorandum and Order dated 1/ 42 Fed. Reg.12372 (February 13, 1981).
-2/ All parties eventually withdrew from the proceeding except Ohio Citi-zens for Responsible Energy (OCRE) and Sunflower Alliance, Inc.
(Sunflower)
-3/ LBP-83-77, 18 NRC 1365. The decision addressed an issue of the quality of construction at PNPP.
-4/ LBP-85-35, 22 NRC 514. This decision addresses issues concerning emergency plans, hydrogen control, and diesel generators.
5/ ALAB-802, 21 NRC 490 (1985); ALAB-841, 24 NRC , sp op.,
July 25, 1986. A motion for reconsideration of ALXB-841 was denied in ALAB-844, 24 NRC ,( Au gust 16, 1986).
-6/ See " Notice of Appeal". August 8,1986 and letter from counsel for Eiiilflower dated September 2,1986.
- - ~ , -. _.
i September 4,1986. The Commission held a meeting on September 5,1986
. during which the parties to the adjudicatory proceeding presented their 4
views on the earthquake which occurred in Ohio on January 31,1986 and the Staff and Licensee informed the Commission of matters concerning the operational readiness of PNPP. 1 In addition, representatives of the Ohio Department of liighway Safety and the Public Utilities Commission presented the concerns of the Governor of Ohio regarding the radiological emergency evacuation plans for PNPP.
III. DISCUSSION Ohio has asked to intervene in the Perry adjudicatory proceeding at a very late time. Ah !ndicated, the evidentiary record has been closed I for a year; all appeals of the Licensing Board decisions have been i
decided; and no petition for review has been filed before the Commission.
Thus, the adjudication of the issues admitted for litigation has ended. 8_/
Essentially, it remains only for the Commission to complete its required "immediate effectiveness" review pursuant to 10 C.F.R. I 2. 764 (f) .
Consequently, there no longer exists an evidentiary proceeding in which Ohio could " introduce evidence" and " interrogate witnesses" as an interested State, as sought by the Petition.
i
, -7/ No vote on the full power operating license was taken by the Com-mission in compliance with a restraining order issued by the United States Court of Appeals for the Sixth Circuit.
8/
~
The period within which the Commission may act to review ALAB-841 )
was extended until September 29, 1986, the same date the time for i Commission review of ALAB-844 expires. Order, September 2,1986. l
It is well established that once the record is closed, new issues can
. be litigated only if standards for late-filed contentions and reopening the record are met. S! Pacific Gas and Electric Company (Diablo Canyon Nuclear Power Plant , Units 1 and 2), ALAB-728, 17 NRC 777, 807, review denied, CLI-83-32, 18 NRC 1309 (1983). Also, in order for an interested state to raise issues for litigation, it must comply with the basis and specificity requirements of 10 C.F.R. 5 2.714. Project Management Corporation, Tennessee Valley Authority, Energy Research and Development Administration (Clinch River Breeder Reactor Plant),
ALAB-354, 4 NRC 383, 393 n.14 (1976); Gulf States Ut'ilities Company 9/ Section 2.714 (b) requires consideration of untimely contentions based on a balancing of the five factors set out in 10 C . F . R .
I 2.714(a)(1). The five factors are:
(i) Good cause, if any, for failure to file on time.
(ii) The availability of other means whereby the petitioner's interest will be protected.
(iii) The extent to which _the petitioner's participation may reasonably be expected to assist in developing a sound record.
(iv) The extent to which the petitioner's interest will be represented by existing parties.
(v) The extent to which the petitioner's participation will broaden the issues or delay the proceeding.
The standard for reopening the record is a tripartite test: (1) Is the motion timely? (2) Does it address significant safety (or envi- 1 ronmental) issues? (3) Might a different result haya been reached I had the newly proffered material been considered initially? Pacific '
Gas and Electric Co. (Diablo Canyon Power Plant, Units 1 and 2),
ALAB-598,11 NRC 876, 879 (1980), cited with approval in Metropol-itan Edison Co. (Three Mila Island Nuclear Station , Unit 1),
CLI-85-2, 21 NRC 282, 285 n.3 (1985). This test has received judi-cial approval. Oystershell Alliance v. NRC, No. 85-1182 (D.C. Cir.
September 9,1986); Three Mile Island Alert, Inc. v. NRC, 771 F.2d 720, 732 (3d. Cir. 1985), cert. denied sub. nom. , Aamodt v.NRC, U.S. (1986). This test has recently been codified in a Com-mission rule , 10 C.F.R. I 2.734. 51 Fed. RS . 19539 (May 30, 1986).
- .-. _ _ . = - . - . _ . . ._ . . - - - . _ _ . . --
(River Bend Station , Units 1 and 2), ALAB-444, 6 NRC 760, 768-69 i
these (1977). The State of Ohio's Petition does not address requirements. Consequently, it is not now possible for Ohio to present f' evidence or interrogate witnesses. b In a situation similar to this one, where the State sought to inter-vene pursuant to 9 2.715 after close of record in order to participate in an appeal, the Appeal Board rejected the late peittion on the ground that i the State was not entitled to appeal when it did not participate in the proceeding before the licensing board. However, the State was granted permission to file a brief amicus curiae pursuant to 10 C.F.R. I 2.715(d).
Pacific Gas and Electric Company (Diablo Canyon Nuclear Power Plant, i
Units 1 and 2), ALAB-583, 11 NRC 447, 448-49, ch Colorado Radio l Corporation v. FCC , 118 F.2d '24, 26-27 (D.C. Cir. 1941) and Vermont Yankee Nuclear Power Corporation v. NRDC, 435 U.S. 519, 553-54 (1978). In a recent decision, the Appeal Board stated:
10/ Licensing Boards presiding over evidentiary hearings have routinely admitted interested States and other governmental bodies which filed untimely 10 C.F.R. I 2.715(c) petitions. See Long Island Lighting Company (Shoreham Nuclear Power Station,7 nit 1), LB P-83-13, 17 NRC 469, 471 (1983) (There is no explicit time requirement regarding a filing by .an interested state or municipality pursuant to 10 C.F.R. I 2.715(c) but the participant must take the proceeding as it finds it); C f. Consolidated Edison Co. of New York (Indian Point, Unit No. 2TPower Authority of the State of New York (Indian Point , Unit No. 3), LBP-82-25, 15 NRC 715, 721-22 (1982); Pacific Gas and Electric Co. (Diablo Canyon Nuclear Power Plant, Units 1 and 2), LBP-81-21, '4 NRC 107, 110 (1981) and ALAB-600,12 NRC 3, 8 (1980) (The Governor of California was allowed to intervene by the Licensing Boards after close of record and in evidentiary hearings conducted by the Appeal Board , although untimely) .
But see f.lississippi Power and Light Co. , et al (Grand Gulf Nuclear Power Station, Unita 1 and 2), LBP-82-92,7 NRC 1376 (1982) (A petition filed by the State pursuant to 10 C.F.R. Il 2.715(c) and
, 2.714 after issuance of an uncontested operating license was denied.)
Only aggrieved parties may appeal decisions adverse to them . . . .- A party cannot be legally " aggrieved" for the pur-pose of appealing an adverse decision if it did not 4
meaningfully participate in the process that led to the objectionable decision.
a Philadelphia Electric Company (Limerick Generating Station, Units 1 and 2), ALAB-845 (August 28, 1986), slip op. at 51 (citations omitted).
In summary, since the adjudicatory proceeding in this case has end-ed, if Ohio seeks to litigate issues, the standards set out above would 4 require Ohio to comply with the standards for late-filed contentions in 10 C.F.R. 5 2.714(a)(1) and the tripartite test for reopening the record described in ALAB-598, supra, (now contained in 10 C.F.R. I 2.734).
Or stated differently, given the posture of this proceeding, Ohio cannot now introduce evidence and interrogate witnesses absent the granting c,f a i
motion to reopen the record to admit a new issue in accordance with the requirements in 10 C.F.R. 55 2.714 and 2.734, as described above.
Apart from introducing evidence and interrogating witnesses, Ohio seeks to participate as an interested state under 5 2.715 to " advise the Commission. " Petition at 1. As indicated in Ohio's Petition, recent events have given rise to concerns by the Governor of Ohio over the evacuation plans for nuclear plants in Ohio, b For this purpose, as ,
l explained below , the Commission could permit the State of Ohio to participate in the remainder of the proceeding as a matter of discretion.
! It is well established that when a party or state is permitted to en-l ter a proceeding late, it must take the proceeding as it finds it. Metro--
l 11/ The petition references a letter dated August 15,' 1985 from Governor Celeste to Chairman Zech which stated concerns created by the acci-dent at the Chernobyl Nuclear Plant and the January 1986 earth-quake in northeastern Ohio.
politan Edison Company (Three Mile Island Nuclear Stations, Unit 1),
ALAB-772, 19 NRC 1193, 1246 (1984), rev'd in part on other grounds, o
CLI-95-2, 21 NRC 282 (1985); Pacific Gas and Electric Company (Diablo Canyon Nuclear Power Plant), ALAB-600, 12 NRC 3, 8 (1980). As previously indicated, although the adjudicatory proceeding has ended, and no opportunity remains for Ohio to present evidence or interrogate witnesses concerning the issues litigated , the Commission has not yet completed its immediate effectiveness review. In this regard, 10 C.F.R 5 2.764(f)(2)(ii) provides that parties may file brief comments with the Commission within 10 days of issuance of the Licensing Board decision, pointing out matters which in their view , pertain to the immediate effectiveness issue. Although the 10 day comment period is long past, the Commission places great value on States' participation in its licensing proceedings. Seabrook , CII-77-25, supra, 6 NRC at 537. Since the Commission's immediate effectiveness review has not yet been completed, the Commission could exercise its discretion b to admit Ohio as as interested state pursuant to 10 C.F.R. 5 2.715(c), enabling Ohio to
" advise" the Commission, as sought by the intervention Petition, pursuant to 10 C.F.R. I 2.764(f)(2)(ii). In this way the Commission may exercise its discretion to permit intervention by Ohio under 5 2.715, even though no opportunity to intervene in an evidentiary proceeding exists at this time.
~
12/ In Seabrook, CLI-77-25, supra, the Commission exercised its discretion to permit untimely participation by the Commonwealth of Massachusetts due to unusual circumstances.
l IV. CONCLUSION For the reasons stated above, the adjudicatory proceeding has ended and, therefore, there is no opportunity for the State of Ohio to present evidence or interrogate witnesses. However, the Commission has broad discretion, in light of the great value placed on participation by States in licensing proceedings, to grant Ohio's Petition to intervene pursuant to 9 2.715 as an interested State, allowing Ohio to enter the proceeding as it finds it in order to advise the Commission concerning the pending immediate effectiveness review.
Respect fully sutrnitted, I I &<.] /
Colleen P. W odhead Counsel for NRC Staff Dated at Bethesda, Maryland this 23rd day of Septenber,1986
+
DOCKETED USNRC i UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION '86 SEP 24 P3:17 BEFORE THE COMMISSION 0FFIN O' E 3 f 00;KETih3e. i sVlu-BRI. NC l In the Matter of )
)
CLEVELAND ELECTRIC ) Docket No. 50-440 OL ILLUMINATIhG COMPANY, ET AL. ) 50-441 OL
)
(Perry Nuclear Power Plant, )
Units 1 and 2) )
CERYlFICATE OF SERVICE i I hereby certify that copics of "NRC STAFF RESPONSE TO PETITION FOR LEAVE TO INTERVENE FILED BY THE STATE OF OHIO" in the above captioned proceeding have been served on the following by deposit in the United States mail, first class, or, as indicated by an asterisk, by deposit in the Nuclear Regulatory Commission's internal mail system, this 23rd day of September,1986:
- William C. Parler Secretary of the Commission General Counsel U.S. Nuclear Regulatory Commission U.S. Nuclear Regulatory Commission Washington, DC 20555 Washington, DC 20555
- Dr. Jerry R. Kline James P. Gleason, Chairman Administrative Judge Administrative Judge Atomic Safety and Licensing Board 513 Gilmoure Drive U.S. Nuclear Regulatory Commission Silver Spring, MD 20901 Washington, DC 20555
- Mr. Glenn O. Bright Donald T. Ezzone, Esq.
Administrative Judge Assistant Prosecuting Attorney Atomic Safety and Licensing Board 105 Main Street ,
U.S. Nuclear Regulatory Commission Lake County Administration Center Washington, DC 20555 Pdnesville, OH 44077.
Jay Silberg, Esq. Susan Hiatt Shaw, Pittman, Potts and Trowbridge 8275 Munson Road 2300 N Street, NW _
Mentor, OH 44060 Washington, DC 20037
- Atomic Safety and Licensing Board Terry J. Lodge, Esq.
U.S. Nuclear Regulatory Commission 618 N. Michigan Street, Suite 105 Washington, DC 20555 Toledo, OH 43624
John G. Cardincl, Esq. Janine Migden, Esq.
Prosecuting Attorney Ohio Office of Consumers Counsel Ashbabula County Courthouse 137 E. State Street Jefferson, OH 44047 Columbus, OH 43215
_o
- Atomic Safety and Licensing Appeal Anthony J. Celebrezze, Jr.
Board Attorney General of Ohio v.S. Nuclear Regulatory Commission Sharon Sigler Washington, DC 20555 Assistant Attorney General 30 E. Broad Street,17th Floor
- Docketing & Service Section Columbus, OH 43215 Office of the Secretary U.S. Nuclear Regulatory Commission Washington, DC 20555
/~
ku . t' 1 Colleen P. Woodhead Counsel for NRC Staff
.