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Issue date | Title | Topic | |
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ML20059B129 | 14 September 1993 | Affidavit of Jh Freeman.* Discusses Transfer of Slightly Used Nuclear Fuel from Shoreham Nuclear Power Station to Limerick Generating Station.W/Certificate of Svc & Notice of Appearance | |
ML20095H561 | 28 April 1992 | Affidavit of Lm Hill.* Affidavit of Lm Hill Supporting Util Position That Circumstances Exist Warranting Prompt NRC Action on NRC Recommendation That Immediately Effective Order Be Issued Approving Decommissioning Plan | |
ML20073B794 | 17 April 1991 | Affidavit of Jr Stehn Re Whether Party Sufficiently Threatened by Radiological Hazard & Other Environ Impacts of Proposal to Establish Requisite Interest & Standing Intervention as of Right.W/Certificate of Svc | |
ML20073B782 | 17 April 1991 | Affidavit of J Scrandis Re Whether Party Sufficiently Threatened by Radiological Hazard & Other Environ Impacts of Proposal to Establish Requisite Interest & Standing for Intervention as of Right | |
ML20073B761 | 17 April 1991 | Affidavit of SV Musolino Re Whether Party Sufficiently Threatened by Radiological Hazard & Other Environ Impacts of Proposal to Establish Requisite Interest & Standing for Intervention as of Right | |
ML20073B746 | 17 April 1991 | Affidavit of EM Franz Re Whether Party Sufficiently Threatened by Radiological Hazard & Other Environ Impacts of Proposal to Establish Requisite Interest & Standing for Intervention as of Right | |
ML20073B721 | 17 April 1991 | Affidavit of Jl Bateman Re Whether Party Sufficiently Threatened by Radiological Hazard & Other Environ Impacts of Proposal to Establish Requisite Interest & Standing for Intervention as of Right | |
ML20073B716 | 17 April 1991 | Affidavit of Organizational Interest by Mm Todorovich, Executive Director of Scientists & Engineers for Secure Energy,Inc (Sese) Re Intervenors Status for Sese | |
ML20073A616 | 5 April 1991 | Affidavit of AP Hull Re Determination of Whether Party Sufficiently Threatened by Radiological Hazard & Other Environ Impacts of Proposal to Establish Requisite Interest & Standing for Intervention.W/Certificate of Svc | |
ML20073A610 | 5 April 1991 | Affidavit of Jl Bateman Re Determination of Whether Party Sufficiently Threatened by Radiological Hazard & Other Environ Impacts of Proposal to Establish Requisite Interest & Standing for Intervention | |
ML20073A604 | 5 April 1991 | Affidavit of SV Musolino Re Determination of Whether Party Sufficiently Threatened by Radiological Hazard & Other Environ Impacts of Proposal to Establish Requisite Interest & Standing for Intervention | |
ML20073A583 | 5 April 1991 | Affidavit of E Franz Re Determination of Whether Party Sufficiently Threatened by Radiological Hazard & Other Environ Impacts of Proposal to Establish Requisite Interest & Standing for Intervention | |
ML20073A557 | 5 April 1991 | Affidavit of Jr Stehn Re Determination of Whether Party Sufficiently Threatened by Radiological Hazard & Other Environ Impacts of Proposal to Establish Requisite Interest & Standing for Intervention | |
ML20073A551 | 5 April 1991 | Affidavit of J Scrandis Re Determination of Whether Party Sufficiently Threatened by Radiological Hazard & Other Environ Impacts of Proposal to Establish Requisite Interest & Standing for Intervention | |
ML20073A530 | 5 April 1991 | Affidavit of Organizational Interest by Mm Todorovich, Executive Director of Scientists & Engineers for Secure Energy,Inc.* | |
ML20073A463 | 5 April 1991 | Affidavit of Ag Prodell Re Determination of Whether Party Sufficiently Threatened by Radiological Hazard & Other Environ Impacts of Proposal to Establish Requisite Interest & Standing for Intervention.W/Certificate of Svc | |
ML20067C536 | 3 February 1991 | Affidavit of Franz,E M.* Affidavit Re Mod to Facility License | |
ML20067C672 | 3 February 1991 | Affidavit of Eena-Mai Franz.* Believes Confirmatory Order Constitutes Another Step in Decommissioning Process to Violate Rights Under NEPA & Represents Threat to Health & Safety | |
ML20067D067 | 2 February 1991 | Affidavit of Jr Stehn.* Affidavit Re Mod of Plant License. W/Certificate of Svc | |
ML20067C491 | 1 February 1991 | Affidavit of Organizational Interest by Mm Todorovich, Executive Director of Scientists & Engineers for Secure Energy,Inc.* Affidavit of Mm Todorovich Re Organizational Interest in Modifying License to Plant | |
ML20067C499 | 1 February 1991 | Affidavit of Jl Bateman.* Affidavit Re Mod of Plant License | |
ML20067C588 | 1 February 1991 | Affidavit of J Scrandis.* Affidavit Re Mod of Plant License | |
ML20067C610 | 1 February 1991 | Affidavit of Jr Stehn.* Affidavit Re Mod of Facility License.W/ Certificate of Svc | |
ML20067C865 | 1 February 1991 | Affidavit of Ag Prodell.* Opposes Confirmatory Order Issued on 900329,prohibiting Licensee from Placing Fuel Into Reactor Vessel W/O Prior NRC Approval | |
ML20067C563 | 31 January 1991 | Affidavit of AP Hull.* Affidavit Re Mod of Plant License | |
ML20067C574 | 31 January 1991 | Affidavit of SV Musolino.* Affidavit Re Mod of Plant License | |
ML20091C671 | 30 March 1990 | Affidavit of WE Steiger.* Provides Info in Support of Util Request to Amend Facility Physical Security Plan. W/Certificate of Svc | |
ML20247B883 | 7 September 1989 | Affidavit of WE Steiger in Support of Util Request for Exemption from Onsite Property Damage Insurance,Per 10CFR50.54(w) | Fuel cladding |
ML20206M985 | 22 November 1988 | Affidavit of LC Lanpher.* Affidavit Re Govts 881123 Motion to Stay 881121 Licensing Board Memorandum & Order Authorizing NRC to Make Necessary Findings on 25% Power Issues & to Issue 25% Power License to Util | |
ML20206M992 | 22 November 1988 | Affidavit of Gc Minor in Support of Motion for Stay.* Supports Govts Motion to Stay ASLB 881121 Order Authorizing Issuance of 25% Power OL for Plant | |
ML20206N000 | 3 November 1988 | Affidavit of Ej Gleason,Director of Planning,State of Ny Energy Ofc.* Provides Data on Whether Supply of Electric Power to Long Island Would Be Adversely Impacted If Plant Did Not Operate.W/Related Info & Certificate of Svc | Safe Shutdown Earthquake Probabilistic Risk Assessment |
ML20205R535 | 3 November 1988 | Affidavit of CA Daverio in Support of Lilco Response to 1988 Exercise Contentions.* | |
ML20205N523 | 31 October 1988 | Affidavit of Kj Letsche in Support of Motion to Disqualify Judges Gleason & Kline.* Certificate of Svc Encl | |
ML20205D645 | 14 October 1988 | Affidavit of Am Madsen in Support of Lilco Request for Stay of ALAB-902.* Certificate of Svc Encl | |
ML20151N585 | 23 July 1988 | Affidavit of Dp Dreikorn on Lilco Compliance W/Fema Guidance Memorandum MS-1.* Certificate of Svc Encl | Backfit |
ML20151G605 | 18 July 1988 | Affidavit of Ja Weistmantle.* Discusses Assertion That Lilco Obtained Complete Copy of Suffolk County Emergency Operations Plan Outside of Formal Discovery Processes | |
ML20196B357 | 23 June 1988 | Affidavit of Jn Christman.* Schedule of Dispositions & Certificate of Svc Encl | |
ML20151T479 | 21 April 1988 | Affidavit of Gc Minor & Sc Sholly Re Validity of Analyses & Conclusions Ref in Youngling Affidavit.W/Certificate of Svc | Safe Shutdown Earthquake Probabilistic Risk Assessment |
ML20149H741 | 11 February 1988 | Affidavit of Rt Hogan Re Disposition of Hosp Evacuation Issue,Per Rev 9 to Util Offsite Emergency Plan.W/Certificate of Svc | |
ML20196D777 | 10 February 1988 | Affidavits in Support of Govts Opposition to Lilco Summary Disposition Motions on Contentions 1-2 & 4-10.* Supporting Affidavits Include Mm Cuomo,Pg Halpin,Rc Roberts,Je Papile, Kj Letsche & Rj Zahnleuter | Chernobyl |
ML20196H111 | 9 February 1988 | Affidavit of Pg Halpin Re Matters Alleged by Util in Lilco Motions for Summary Disposition of Contentions 1-2 & 4-10 Dtd 871218.Summaries & Quotations of Util Assertions, Resolution 111-1983 & Pf Cohalan Statement Encl | Chernobyl |
ML20196H084 | 8 February 1988 | Affidavit of Mm Cuomo Re Util Radiological Emergency Response Plan.Reaffirms Statements Made in 870506 Affidavit & 860630 Statement.Statement Encl | |
ML20149D831 | 4 February 1988 | Affidavit of DM Crocker Re Suffolk County First Set of Requests for Admissions Dtd 880125.* Certificate of Svc Encl.Related Correspondence | |
ML20149F128 | 25 January 1988 | Affidavit of T Urbanik Re Lilco Motion for Summary Disposition of Contentions 1,2 & 9.* Certificate of Svc Encl | |
ML20148D354 | 19 January 1988 | Affidavit of Fr Jones.* Lists Conduct Supporting Fact That Util Has Not Made Good Faith to Secure & Retain Participation of Suffolk County | |
ML20148D404 | 19 January 1988 | Affidavit of Fg Palomino.* Util Had Matl Role in Activities Before Federal Govt by Endeavoring to Persuade Govt to Intercede in Proceeding During 1984 & 1985.Certificate of Svc Encl | |
ML20148D228 | 19 January 1988 | Affidavit of Gj Blass.* Util Refusal to Pay Property Taxes During 1984 & First Half of 1985 Constituted Severe Injury to County.Related Info Encl | |
ML20148D154 | 19 January 1988 | Affidavit of LC Lanpher.* Submits Related Info to Support Contention That Lilco Has Not Made Isolated Good Faith Effort to Secure & Retain Participation of Suffolk County | |
ML20147D730 | 15 January 1988 | Affidavit of Ms Miller Re Proposed Offsite Emergency Plan. Certificate of Svc Encl | |
ML20148D310 | 11 January 1988 | Affidavit of T Urbanik.* Assumptions,Speeds & Methodology Used in Hosp Evaluation Time Estimates in Rev 9 to Util Plan Correct.Estimates Suitable for Inclusion for Use in Making Protective Action Recommendations.W/Certificate of Svc |