ML20216D053

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Declaration of La White,Pe.* Believes That Technical Facts Presented in Contentions a Through DD Are True & Correct to Best of Knowledge & Conclusions Drawn from Those Facts Are Based on Author Best Prof Judgement
ML20216D053
Person / Time
Site: 07200022
Issue date: 01/14/1998
From: White L
AFFILIATION NOT ASSIGNED
To:
Shared Package
ML20216C977 List:
References
ISFSI, NUDOCS 9803160266
Download: ML20216D053 (1)


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UNITED STATES OF AMERICA BEFORE THE U.S. NUCLEAR REGULATORY COMMISSION ATOMIC SAFETY AND LICENSING BOARD In the Matter of

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PRIVATE FUEL STORAGE, L.L.C.)

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Docket No. 77-22-ISFSI (Independent Spent Fuel

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Storage Installation)

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January N,1998

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DECLAIS.flON OF LAWRENCE A. WHITE, PE I, Lawrence A. White, PE declare under penalty of perjury that:

1. I am an Executive Vice President of Versar, Inc., an engineering and consulting firm headquanered in Springfield, Virginia. I have extensive experience in the areas of nuclear licensing, radioactive waste management, including the siting, design construction, operation, and decommissioning of nuclear facilities, the National Environmental Policy Act (NEPA), NRC regulations and licensing procedures, and the Nuclear Waste Policy Act of 1982. Copies of my resume and a description of Versar, Inc. are attached as Exhibit 1 to the contentions filed by the State of Utah in this proceeding on November 23,1997.
2. I am familiar with Private Fuel Storage's ("PFS's") License Application, Safety Analysis Report and Bnvironmental Report in this proceeding, as well as the storage and transportation casks PFS plans to use. I am also familiar with NRC regulations, NRC guidance documents, and with NEPA documentation requirements and environmental, scientific, and engineering studies relating to the transportadon, storage and disposal of spent nuclear fuel. I also have reviewed the PFS's and NRC Staff's responses to the State of Utah's Contentions A through DD.
3. I assisted in the preparation of, and have reviewed, the State of Utah's Reply to PFS's and NRC Staff's Responses to Utah Contentions A through DD dealing with general NEPA issues, the intermodal transfer site, geotechnical, financial assurance, ISFSI design, and emergency planning requirements. The technical facts presented in those contentions are true and correct to the best of my knowledge, and the conclusions drawn from those facts are based on my best professionaljudgment.

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