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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20217L8481999-10-25025 October 1999 NRC Staff First Supplemental Response to Applicant First Set of Discovery Requests to NRC Staff.* Staff Objects to Document Request as Being Overly Broad & Unduly Burdensome. with Certification of Svc ML20217H9661999-10-20020 October 1999 NRC Staff Second Supplemental Response to Orange County First Set of Discovery Requests to NRC Staff.* Listed Documents Requested to Be Produced.With Certificate of Svc. Related Correspondence ML20217E0881999-10-18018 October 1999 Order (Granting Discovery Extension Request).* Board of Commission of Orange County 991013 Motion for Extension of 991031 Discovery Deadline,Granted,In That Parties Shall Have Up to 991104.With Certificate of Svc.Served on 991018 ML20217F7711999-10-17017 October 1999 Corrected Notice of Deposition of SE Turner.* Orange County Gives Notice That on 991104 Deposition Upon Oral Exam of Turner Will Be Deposed with Respect to Contention TC-2. Related Correspondence ML20217F7681999-10-17017 October 1999 Orange County Third Set of Discovery Requests to NRC Staff.* Submits Third Set of Discovery Requests & Requests Order by Presiding Officer That Discovery Be Answered within 14 Days. with Certificate of Svc.Related Correspondence ML20217D6181999-10-14014 October 1999 Request for Entry Upon Harris Site.* Staff Hereby Requests That Applicant,Cp&L Permit Entry Into Shearon Harris Nuclear Plant,For Viewing & Insp of Plant Spent Fuel Pool Bldg. with Certificate of Svc.Related Correspondence ML20217E2611999-10-13013 October 1999 Orange County Second Suppl Response to Applicant First Set of Discovery Requests & First Suppl Response to NRC Staff First Set of Discovery Requests.* Clarifies That G Thompson Sole Witness.With Certificate of Svc.Related Correspondence ML20217E2581999-10-13013 October 1999 Orange County Motion for Extension of Discovery Deadline.* Orange County Requests Extension of 991031 Deadline for Concluding Discovery Proceeding.Extension Needed to Permit Dispositions of Two CP&L Witnesses.With Certificate of Svc ML20217E1461999-10-13013 October 1999 Request for Entry Upon Harris Site.* Entry Requested for Purpose of Inspecting SFP Bldg & Associated Piping.With Certificate of Svc.Related Correspondence ML20217D5561999-10-13013 October 1999 Applicant Second Set of Discovery Requests Directed to Board of Commissioners of Orange County.* Applicant Requests Answers to Listed Interrogatories & Requests for Admission. with Certificate of Svc.Related Correspondence ML20217D5761999-10-13013 October 1999 Applicant Third Supplement Response to Board of Commissioners of Orange County First Set of Discovery Requests.* Provides Addl Responses to General Interrogatory 3.With Certificate of Svc.Related Correspondence ML20217D6201999-10-12012 October 1999 NRC Staff Response to Applicant First Set of Discovery Requests to NRC Staff.* Staff Will Respond to Applicant Specific Requests within 30 Days of Receipt of Applicant Requests.With Certificate of Svc.Related Correspondence ML20217D5661999-10-12012 October 1999 NRC Staff First Supplemental Response to Orange County First Set of Discovery Requests to NRC Staff.* Supplements Response by Naming C Gratton as Person Likely to Provide Affidavit.With Certificate of Svc.Related Correspondence ML20212M0271999-10-0707 October 1999 Notice (Opportunity to Make Oral or Written Limited Appearance Statements).* Board Will Entertain Oral Limited Appearance Statements Re CP&L 981223 Amend Request. with Certificate of Svc.Served on 991007 ML20212L1441999-10-0505 October 1999 NRC Staff Response to Orange County First Set of Discovery Requests to NRC Staff.* Staff Is Now Voluntarily Providing Responses to Orange County'S Request for Production of Documents.With Certificate of Svc.Related Correspondence ML20212J0801999-09-29029 September 1999 Orange County Second Set of Document Requests to NRC Staff.* Submits Second Set of Document Requests to NRC Pursuant to 10CFR2.744 & Board Memorandum & Order,Dtd 990729.With Certificate of Svc.Related Correspondence ML20212G0001999-09-24024 September 1999 Applicant First Set of Discovery Requests Directed to NRC Staff.* Requests Access to Documents Given to Board of Commissioners by Staff Pursuant to 990920 Discovery Request. with Certificate of Svc.Related Correspondence ML20212G0081999-09-24024 September 1999 Applicant First Suppl Response to Board of Commissioners of Orange County First Set of Discovery Requests.* Suppl Provides Addl Responses to General Interrogatories 2 & 3. with Certificate of Svc.Related Correspondence ML20212D7151999-09-20020 September 1999 Applicant Response to General Interrogatories & General Document Requests in NRC Staff First Set of Discovery Requests.* CP&L Filing Responses Per Staff Request within 14 Days....With Certificate of Svc.Related Correspondence ML20212D8521999-09-20020 September 1999 Orange County First Set of Discovery Requests to NRC Staff Including Request for Order Directing NRC Staff to Answer Certain Discovery Requests.* with Certificate of Svc. Related Correspondence ML20212C1231999-09-17017 September 1999 Orange County Responses to Applicant First Set of Document Production Request.* Orange County Has No Documents Responsive to Request.With Certificate of Svc.Related Correspondence ML20211N7481999-09-10010 September 1999 NRC Staff First Set of Discovery Requests Directed to Applicant Cp&L.* Staff Requests Applicant Produce All Documents Requested by & Provided to Bcoc. with Certificate of Svc.Related Correspondence ML20211N5021999-09-0808 September 1999 Orange County Objections & Responses to NRC Staff First Set of Discovery Requests.* County Objects to Questions to Extent That Staff Seek Discovery Beyond Scope of County Two Contentions.With Certificate of Svc.Related Correspondence ML20211M4201999-09-0707 September 1999 Applicant Response to Specific Document Requests in Board of Commissioners of Orange County First Set of Discovery Requests.* with Certificate of Svc.Related Correspondence ML20211M5001999-09-0303 September 1999 Orange County Supplemental Response to Applicant First Set of Interrogatories.* with Certificate of Svc.Related Correspondence ML20211H4931999-08-30030 August 1999 Orange County Objections to Applicant First Set of Discovery Requests & Response to Applicant First Set of Interrogatories.* Objects to First Set of Discovery Requests.With Certificate of Svc.Related Correspondence ML20211B7951999-08-23023 August 1999 NRC Staff First Set of Discovery Requests Directed to Board of Commissioners of Orange County (Bcoc).* Staff Requests That Bcoc Produce All Documents Requested by Applicant. with Certificate of Svc.Related Correspondence ML20211B8361999-08-23023 August 1999 Applicant Response to General Interrogatories & General Document Requests in Board of Commissioners of Orange County First Set of Discovery Requests.* with Certificate of Svc. Related Correspondence ML20210T3531999-08-16016 August 1999 Applicant First Set of Discovery Requests Directed to Board of Commissioners of Orange County (Bcoc).* CP&L Requests That Bcoc Answer Listed General Interrogatories by 990830. with Certificate of Svc.Related Correspondence ML20210L9571999-08-0606 August 1999 Orange County First Set of Discovery Requests Directed to Applicant.* Interrogatories & Document Production Requests Cover All Info in Possession,Custody & Control of Cp&L.With Certificate of Svc.Related Correspondence ML20216E2041999-07-29029 July 1999 Memorandum & Order (Granting Request to Invoke 10CFR Part 2, Subpart K Procedures & Establishing Schedule).* Board Grants Carolina Power & Light Co 990721 Request to Proceed Under Subpart K.With Certificate of Svc.Served on 990730 ML20210B2271999-07-21021 July 1999 Applicant Request for Oral Argument to Invoke Subpart K Hybrid Hearing Procedures & Proposed Schedule.* Applicant Recommends Listed Schedule for Discovery & Subsequent Oral Argument.With Certificate of Svc ML20209G7371999-07-16016 July 1999 Notice of Hearing (License Amend Application to Expand Sf Pool Capacity).* Provides Notice of Hearing in Response to Commissioners of Orange County Request for Hearing Re CP&L Amend Application.With Certificate of Svc.Served on 990716 ML20209D1791999-07-12012 July 1999 Memorandum & Order (Ruling on Standing & Contentions).* Grants Petitioner 990212 Hearing Request Re Intervention Petition Challenging CP&L 981223 Request for Increase in Sf Storage Capacity.With Certificate of Svc.Served on 990712 ML20212J5831999-07-0101 July 1999 Notice of Appearance.* Informs That SL Uttal Will Enter Appearance in Proceeding Re Carolina Power & Light Co.Also Encl,Notice of Withdrawal for ML Zobler,Dtd 990701. with Certificate of Svc ML20196A8751999-06-22022 June 1999 Order (Corrections to 990513 Prehearing Conference Transcript).* Proposed Corrections to Transcript of Board 990513 Initial Prehearing Conference Submitted by Petitioner & Application.With Certificate of Svc.Served on 990622 ML20207D6991999-05-27027 May 1999 Orange County Proposed Corrections to Transcript of 990113 Prehearing Conference.* Orange County Submits Proposed Corrections to Transcript of Prehearing Conference of 990513.With Certificate of Svc ML20207D6651999-05-27027 May 1999 Applicant Proposed Corrections to Prehearing Conference Transcript.* ASLB Ordered That Any Participant Wishing to Propose Corrections to Transcript of 990513 Prehearing Conference Do So by 990527.With Certificate of Svc ML20207D6891999-05-27027 May 1999 Orange County Response to Applicant Proposed Rewording of Contention 3,regarding Quality Assurance.* County Intends to Renew Request for Admission of Aspect of Contention.With Certificate of Svc ML20206R8731999-05-20020 May 1999 Memorandum & Order (Transcript Corrections & Proposed Restatement of Contention 3).* Any Participant Wishing to Propose Corrections to Transcript of 990513,should Do So on or Before 990527.With Certificate of Svc.Served on 990520 ML20206R2411999-05-13013 May 1999 Transcript of 990513 Prehearing Conference in Chapel Hill,Nc Re Carolina Power & Light Co.Pp 1-176.Supporting Documentation Encl ML20206H9331999-05-11011 May 1999 Notice (Changing Location & Starting Time for Initial Prehearing Conference).* New Location for Conference, Southern Human Resources Ctr,Main Meeting Room,Chapel Hill, Nc.With Certificate of Svc.Served on 990511 ML20206G4051999-05-0505 May 1999 Applicant Answer to Petitioner Board of Commissioners of Orange County Contentions.* Requests That Technical Contentions in Section III & Environ Contentions in Section IV Not Be Admitted.With Certificate of Svc ML20206F9491999-05-0505 May 1999 NRC Staff Response to Orange County Supplemental Petition to Intervene.* None of Petitioner Proposed Contentions Meet Commission Requirements for Admissible Contention.Petitioner 990212 Request Should Be Denied.With Certificate of Svc ML20206A0851999-04-22022 April 1999 Erratum to Orange County Supplemental Petition to Intervene.* Citation to Vermont Yankee LBP-87-17,should Be Amended to Read Vermont Yankee Nuclear Power Co (Vermont Yankee Nuclear Power Station).With Certificate of Svc ML20205Q8121999-04-21021 April 1999 Order (Granting Motion to Relocate Prehearing Conference).* Initial Prehearing Conference Will Be Held in District Court of Orange County Courtroom,Chapel Hill,Nc on 990513 as Requested.With Certificate of Svc.Served on 990421 ML20196K8771999-04-0505 April 1999 Orange County Supplemental Petition to Intervene.* Informs That Orange County Contentions Should Be Admitted for Litigation in Proceeding ML20196K8861999-04-0505 April 1999 Declaration of Gordon Thompson.* Informs of Participation in Preparation of Orange County Contentions Re Proposed License Amend ML20205E3101999-04-0101 April 1999 Memorandum & Order (Protective Order).* Grants 990326 Motion of Petitioner for Approval of Proposed Protective Order to Govern Use & Dissemination of Proprietary or Other Protected Matls.With Certificate of Svc.Served on 990203 ML20196K9041999-03-31031 March 1999 Declaration of DA Lochbaum,Nuclear Safety Engineer Union of Concerned Scientists,Re Technical Issues & Safety Matters Involved in Harris Nuclear Plant License Amend for Sfs.* with Certificate of Svc 1999-09-08
[Table view] Category:PLEADINGS
MONTHYEARML20217D6181999-10-14014 October 1999 Request for Entry Upon Harris Site.* Staff Hereby Requests That Applicant,Cp&L Permit Entry Into Shearon Harris Nuclear Plant,For Viewing & Insp of Plant Spent Fuel Pool Bldg. with Certificate of Svc.Related Correspondence ML20217E1461999-10-13013 October 1999 Request for Entry Upon Harris Site.* Entry Requested for Purpose of Inspecting SFP Bldg & Associated Piping.With Certificate of Svc.Related Correspondence ML20217E2581999-10-13013 October 1999 Orange County Motion for Extension of Discovery Deadline.* Orange County Requests Extension of 991031 Deadline for Concluding Discovery Proceeding.Extension Needed to Permit Dispositions of Two CP&L Witnesses.With Certificate of Svc ML20210B2271999-07-21021 July 1999 Applicant Request for Oral Argument to Invoke Subpart K Hybrid Hearing Procedures & Proposed Schedule.* Applicant Recommends Listed Schedule for Discovery & Subsequent Oral Argument.With Certificate of Svc ML20207D6651999-05-27027 May 1999 Applicant Proposed Corrections to Prehearing Conference Transcript.* ASLB Ordered That Any Participant Wishing to Propose Corrections to Transcript of 990513 Prehearing Conference Do So by 990527.With Certificate of Svc ML20207D6891999-05-27027 May 1999 Orange County Response to Applicant Proposed Rewording of Contention 3,regarding Quality Assurance.* County Intends to Renew Request for Admission of Aspect of Contention.With Certificate of Svc ML20205A9201999-03-26026 March 1999 Motion for Approval of Protective Order.* Orange County,With Support of CP&L & Nrc,Requests Board Approval of Encl Protective Order.With Certificate of Svc ML20204E5341999-03-17017 March 1999 Orange County Second Motion for Extension of Time to File Proposed Protective Order.* Licensing Board Granted Motion to Extend Deadline for Filing Proposed Protective Order Until 990304.With Certificate of Svc ML20207L4041999-03-16016 March 1999 NRC Staff Answer to Orange County Motion to Relocate Prehearing Conference.* NRC Has No Objections to Relocating Prehearing Conference,Time or Place.With Certificate of Svc ML20204C9721999-03-15015 March 1999 Applicant Response to Bcoc Motion to Relocate Prehearing Conference.* Applicant Requests That Prehearing Conference Be Held in Hillsborough,Nc.Location Available to Hold Prehearing Conference on 990513.With Certificate of Svc ML20207K1391999-03-0909 March 1999 Orange County Motion to Relocate Prehearing Conference.* Requests Licensing Board Relocate Prehearing Conference Scheduled for 990511 to Site in Area of Shearon Harris Npp. with Certificate of Svc ML20127M4091992-10-0202 October 1992 CP&L Response to Appeal to NRC Commissioners of NRC Staff Denial of Nirs Petitions for Immediate Enforcement Action of 920721 & 0812.* Commission Should Affirm NRR Denial of Nirs Petitions.Certificate of Svc Encl ML20213A0091987-01-28028 January 1987 NRC Staff Response to Intervenor Application for Stay of ALAB-856.* Motion Should Be Denied Since Coalition for Alternatives to Shearon Harris Lacks Standing to File Motion & 10CFR2.788 Criteria Not Met.Certificate of Svc Encl ML20212R6431987-01-27027 January 1987 NRC Staff Motion for Extension of Time.* Motion for Extension Until 870128 to File Response to Intervenors Motion for Stay of ALAB-856.Certificate of Svc Encl ML20212R6861987-01-27027 January 1987 Licensees Answer to Conservation Council of North Carolina/ Eddleman Motion for Stay.* Motion Should Be Summarily Denied.Certificate of Svc Encl ML20209A7191987-01-27027 January 1987 NRC Staff Motion for Extension of Time.* One Day Extension of Time Until 870128 to File Response to Intervenors Motion for Stay of ALAB-856 Requested.Granted for ASLB on 870128.W/ Certificate of Svc ML20207N6051987-01-10010 January 1987 Conservation Council of North Carolina,Wells Eddleman,Pro Se & Coalition for Alternatives to Shearon Harris Motion to Stay Effectiveness of Licensing of Shearon Harris Nuclear Power Plant.* W/Certificate of Svc ML20207M0191987-01-0808 January 1987 Motion to Continue Commission decision-making Re Licensing of Shearon Harris Nuclear Power Plant.* Requests NRC Refrain from Issuing Full Power OL Until Criteria Assuring Safe Operation Met.Certificate of Svc Encl ML20214A5171986-11-17017 November 1986 Response Opposing State of Nc Atty General 861028 Motion Re Applicant Request for Exemption from Portion of 10CFR50, App E & Part IV.F.1.Certificate of Svc Encl ML20197C8511986-11-0303 November 1986 Response to Atty General of State of Nc 861028 Motion to Dismiss,As Moot,Util 860304 Request for Exemption from 10CFR50,App E Requirement for Full Participation Exercise 1 Yr Prior to Full Power License.W/Certificate of Svc ML20215M2281986-10-28028 October 1986 Motion for Inquiry Into Feasibility of Applicant 860304 Request for Exemption from Requirement That full-scale Emergency Preparedness Exercise Be Conducted within 1 Yr Prior to Issuance of Ol.Certificate of Svc Encl ML20215G7061986-10-17017 October 1986 Response Opposing W Eddleman & Coalition for Alternatives to Shearon Harris 861006 Brief Requesting Hearing on Util Request for Exemption from Performing full-scale Emergency Exercise,Per Commission 860912 Order.W/Certificate of Svc ML20215J6121986-10-17017 October 1986 W Eddlemen & Coalition for Alternatives to Shearon Harris Petition,Per 10CFR2.206 to Revoke,Suspend or Modify Cp. Certificate of Svc Encl ML20203N9191986-10-14014 October 1986 Response Opposing Coalition for Alternatives to Shearon Harris/Eddleman 860731 Request for Hearing on Util Request for Exemption from Requirement to Conduct Full Participation Exercise.Certificate of Svc Encl ML20210V1571986-10-0606 October 1986 Answer in Opposition to Coalition for Alternatives to Shearon Harris,W Eddleman & Conservation Council of North Carolina 860915 Motion to Reopen Record.Related Info & Certificate of Svc Encl ML20210S9871986-10-0606 October 1986 Brief Opposing Applicant 860304 & 0710 Requests for Exemption from 10CFR50,App E Requirement to Conduct Full Participation Exercise of Emergency Mgt Plan within 1 Yr Prior to Operation.W/Certification of Svc ML20214S0831986-09-25025 September 1986 Applicant Answer Opposing 860915 Coalition for Alternatives to Shearon Harris (Cash) Motion to Reopen Record.Motion Opposed Since Cash Not Party in OL Proceeding.Certificate of Svc Encl ML20214R0531986-09-24024 September 1986 Response Opposing Eddleman/Coalition for Alternatives to Shearon Harris 860919 Request for Extension of Time to Respond to Commission 860912 Order.W/Certificate of Svc ML20214R3681986-09-23023 September 1986 Response Opposing Coalition for Alternatives to Shearon Harris/Eddleman Request for 2-wk Extension to Respond to Commission 860912 Order Re Exemption from Requirements of 10CFR50,App E.W/Certificate of Svc ML20214Q9531986-09-19019 September 1986 Requests Extension of Time Until 2 Wks from 860929 Deadline to Respond to 860912 Order Requiring Analysis of 10CFR50.12 Specific Exemptions ML20210D9001986-09-15015 September 1986 Motion to Reopen Record,Per 10CFR2.734,asserting That Commission Unable to Determine Reasonableness of Assurance That Plant Can Operate W/O Endangering Public Health & Safety.Certificate of Svc & Insp Rept 50-400/85-48 Encl ML20203M0021986-08-28028 August 1986 Response Opposing Coalition for Alternatives to Shearon Harris/Eddleman 860731 Joint Petition for Hearing on Exemption Request Re Full Participation Emergency Preparedness Exercise.W/Certificate of Svc ML18004A4681986-08-15015 August 1986 Response to Coalition for Alternatives to Shearon Harris 860702 Show Cause Petition Re Emergency Planning Requirements,Filed Per 10CFR2.206.Petition Should Be Denied Due to Lack of Basis for Action.Certificate of Svc Encl ML20205F3591986-08-15015 August 1986 Response to Coalition for Alternatives to Shearon Harris 860702 2.206 Petition to Show Cause Re Emergency Planning Requirements,P Miriello Allegations & Welding Insps.Show Cause Order Unwarranted.W/Certificate of Svc ML20205F4131986-08-14014 August 1986 Answer Opposing Intervenor 860730 Petition for Review of Aslab 860711 Memorandum & Order Denying Two Requests for Relief.Petition Lacks Important Procedural Issue.Certificate of Svc Encl ML20205F2251986-08-14014 August 1986 Answer Opposing Coalition for Alternatives to Shearon Harris & W Eddleman 860730 Petition for Commission Review Per 10CFR2.786.W/Certificate of Svc ML20203K1511986-07-30030 July 1986 Petition for Commission Review of Aslab 860711 Memorandum & Order Denying Coalition for Alternative to Shearon Harris 860609 Petition to Intervene.Certificate of Svc & Svc List Encl ML20212A6071986-07-25025 July 1986 Response to ASLAP 860708 Order Requiring Licensee to Update Re Emergency Plan.Chatham County Resolution Does Not Resolve Issues Re Adequacy of Plan.Resolution False. Certificate of Svc Encl ML20207J8281986-07-24024 July 1986 Response Opposing W Eddleman 860403 Request for Hearing on Util Request for Exemption from Emergency Preparedness Exercise Requirement.W/Certificate of Svc ML20211Q5221986-07-23023 July 1986 Answer Opposing Coalition for Alternatives to Shearon Harris 860721 Motion for 10-day Extension to File Brief Supporting 860721 Notice of Appeal & Request for Review of Aslab 860711 Memorandum & Order.W/Certificate of Svc ML20207E4231986-07-18018 July 1986 Response to Aslab 860708 Order to File Update to Re Chatham County,Nc Rescission of Prior Approval of Emergency Response Plan.Chatham County Endorsed Plan on 860707.W/Certificate of Svc ML20199L1671986-07-0808 July 1986 Suppl to 860624 Response to Conservation Council of North Carolina & Eddleman Request to Continue Stay Indefinitely.On 860707,Chatham County Adopted Resolution Which Endorses Emergency Plan.W/Certificate of Svc ML18019B0891986-07-0202 July 1986 Petition Requesting Institution of Proceedings Per 10CFR2.206,requiring Util to Respond to Show Cause Order Due to Failure to Meet Required Stds in Areas of Emergency Planning,Plant Safety,Security & Personnel Stress ML20206R8691986-06-30030 June 1986 Response Opposing Coalition for Alternatives to Shearon Harris (Cash) 860609 Petition for Leave to Intervene.Any Cash Participation Would Cause Delay in Proceedings.Petition Should Be Rejected as Untimely Filed ML20206P6641986-06-25025 June 1986 Response to Coalition for Alternatives to Shearon Harris & W Eddleman 860428 Motion for Stay of Immediate Effectiveness of Final ASLB Decision.Motion Should Be Denied.Certificate of Svc Encl ML20206J3641986-06-24024 June 1986 Response Opposing Conservation Council of North Carolina & W Eddleman 860609 Motion to Stay All Power Operations Per ASLB 860428 Final Decision.Motion Fails to Show Single Significant Safety Issue.W/Certificate of Svc ML20206J2051986-06-24024 June 1986 Response to Intervenors Conservative Council of North Carolina & W Eddleman Request to Continue Stay Indefinitely. Certificate of Svc & Svc List Encl ML20211D8641986-06-0909 June 1986 Requests to Continue Temporary Automatic Stay of ASLB Authorization of Full Power Operations Indefinitely.Low Power Operations Should Be Stayed Until NRC Completes Immediate Effectiveness Review & Encl Comments Resolved ML20199E4441986-06-0909 June 1986 Request to Indefinitely Continue Temporary Automatic Stay as to ASLB Authorization of Full Power Operations Until Commission Resolves Issue Raised in Encl Comments on Immediate Effectiveness Review ML20205T4001986-06-0909 June 1986 Appeal from Final Licensing Board Decision to Grant Ol.Board Erred in Determining That Widespread Drug Abuse Had No Effect on Const,In Accepting Applicant Nighttime Alert & Notification Plans & in Rendering Final Decision 1999-07-21
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'March ll, 1980 UNITED STATES OF AMERICA NUCLEAR'EGULATORY COMMISSION In the Matter of CAROLINA POWER 6 LIGHT COMPANY (Shearon Harris Nuclear Power Plant, Units 1, 2, 3 and'))))Docket Nos.))'Ol VAR11 1M:;v<}Offica of the Secretary j Docketing 6 Service Branch 50-4 50-401 50-402 50-403 APLICANT'S PETITION FOR REVIEW OF ALAB-581 Applicant hereby petitions the Commission, pursuant to 10 C.F.R.5 2.786, for review of the Atomic Safety and Licensing Appeal Board's (" Appeal Board")decision of February 20, 1980 (ALAB-581).
Commission review is appropriate here because the Appeal Board's order involves an important procedural issue and raises important cyestions of public policy.
SUMMARY
OF THE DECISION OF WHICH REVIEW ZS SOUGHT Zn ALAB-577 the Appeal Board affirmed the Supplemental Initial Decision of the Atomic Safety and Licensing Board 1 Xn ALAB-581 the Appeal Board denied"Applicant's Motion for Modification of the Appeal Board's Order in ALAB-577" dated February 11, 1980 and attached hereto as Exhibit A (hereinafter"Motion for Modification").2 If this precedent for Appeal Board assumption of super-visory authority over the Commission's procedures established for processing an application for a license is permitted to stand, it will likely be used again.The Commission' regu-lations are not to be treated as mere guidelines.
Appli-cants and the public expect the Commission to follow its own regulations so that there is some cer tainty to the process.3 LBP-79-19, 10 NRC 37'(1979).80040 g,y9 0
(" Board")which found that Applicant possesses the requisite management capability and technical qualifications to design and construct the Shearon Harris facility.The Appeal Board modified the Supplemental Initial Decision by deleting a condition imposed by the Board on the Applicant's construction permits which would have required'that a hearing be held on Applicant's management capability and technical qualifications at the operating license ("OL")stage.In deleting the condition the Appeal Board instead issued its own directions to the Staff:[T]he Staff is hereby directed to insure that no notice of opportunity for hearing under 10 CFR 2.105 is issued in connection with any application which may be filed for operating licenses for the Shearon Harris facility unless and until: (1)The Staff has conducted, on the basis of the content of the operating license application and supporting documentation (together with any other pertinent informa-tion then at itsdisposal), a preliminary evaluation of the applicant's capability to manage the operation of the facility in conformity with all regulatory requirements which have or may be imposed in the interest 4 The Staff had challenged the Board's authority to impose such a condition to the construction permits.The Staff has now petitioned for Commission review of ALAB-577 arguing that the Appeal Board lacked jurisdiction to issue directions to the Staff with respect to an application which has yet to be filed with the Commission.
Nuclear Regulatory Commission Staff,"Petition for Review" dated February 13, 1980 (herein-after"Staff Petition").By Order dated February 21, 1980 the Commission extended the time within which the Commission may act upon or grant the petition to review ALAB-577 to ex-pire co-extensively with the review times for ALAB-581.5 ALAB-577.at 35-36 (citations to slip opinion).
~~of the protection of the public health and safety;and (2)The findings and conclusions reached upon that evaluation have been (a)made publicly available in written form;and (b)brought specifically to the attention of the Commission with an accompanying reference to both the Licensing'oard's supplemental initial decision and our decision today.It is further directed that, pursuant to 10 CFR 2.105(b)(2), the notice of opportunity for hearing (if one is issued)set forth the manner in which a copy of that analysis may be obtained or examined.Applicant views the Appeal Board's approach as over-reaching and unnecessary to accomplish its objective of having the Staff perform an evaluation of Applicant's management capability early in the OL application review process and publish the results for the benefit of the Commission and potential intervenors.
The Appeal Board's directions to the Staff are inconsistent with the Commission's regulations which provide that the notice of opportunity for hearing"shall be issued as soon as practicable after the[OL]application has been docketed." 10 C.F.R.g 2.105(a)(4).
By virtue of the Appeal Board's order, commencement of an OL 6 The Staff apparently interpreted the Appeal Board'order in ALAB-577 as directing a Staff evaluation
~rior to docketing Applicant's OL application.
Staff Petition at 7, fn.5.That the Appeal Board has in mind a post-docketing evaluation can be inferred from its discussion 11 11).*h ff'p tion of the Appeal Board's directions would be contrary to the intent of 10 C.F.R.g 2.101.Certainly the Appeal Board's Order does not direct the Staff to defer a deter-mination of acceptability and completeness of the OL ap-plication and docketing of the applicat'on pending comple-tion of the evaluation.
proceeding would be held hostage to the issuance of a Staff report on Applicant's management capability; Applicant voiced its concern about any delays in the OL process and explained why delays could have severe consequences to Applicant.
Motion for Modification at 4-5.Thus, Applicant proposed a modifica-tion to.the Appeal Board'order which would ensure that all OL proceeding activities unrelated to Applicant' management capability would commence in accordance with Commission regulations, and which would also serve the Appeal Board's objective:
Applicant proposes that the Appeal Board modify its instructions to the Staff such that the notice of opportunity for hearing would be published as soon as practicable after the OL application is docketed as required by g 2.105(a)(4).
However, to accomplish the Appeal Board's objective, the notice of opportunity for hearing would state additionally (1)that the Staff had been instructed to perform an evaluation of Applicant's management capability, (2)that a notice will be published in the Federal p h evaluation; (3)that the notice will set forth the manner in which a copy of the Staff's evaluation may be obtained or examined;(4)that the public will then have an additional thirty days in which to petition to intervene and request a hearing in'the Harris OL proceeding on the sole issue o f Appl ican t'manag emen t capability and technical qualifications; and (5)that any petitioner already admitted as a party to the Harris OL proceeding, and who has not already established a contention on management capability, will then have thirty days in which to petit'on to expand his contentions to include a contention on Applicant'management capability or technical qualifica-tions.[Id.at 3-4 (footnote omitted)].
In ALAB-581 the Appeal Board denied Applicant's Notion for Modification.
The Appeal Board did not address the question of its authority to deviate from Commission regulations which require the issuance of a notice of opportunity for hearing"as soon as practicable after the application has been docketed." The Appeal Board did not address why, in its view, the process of establishing the standing of petitioners, identifying parties, defining the contentions and commencing any discovery should not move forward while the Staff'evaluation of Applicant's management capability was being conducted.
The Appeal Board did not deny that its objective could be served under Applicant' proposed modified procedure.
Instead the Appeal Board asserted that the Staff evaluation which it had in mind would be accomplished"by early Pall at the latest" and that Applicant had not demonstrated how such a delay"might interfere with the achievement of f its]goal[of.an operating license before June 1983]." AZAB-581 at 8, 9.Furthermore, the Appeal Board suggested that Applicant' proposed modifica-tion suffers from at least one serious infirmity-that without an"incentive" to complete the evaluation of Applicant' management capability prior to issuance of an opportunity for hearing, the Staff might assign the evaluation a"relatively low priority" which could result in a delay caused by belated contentions while an adjudicatory proceeding to hear other issues was well underway.
THE ACTION OF THE APPEAL BOARD WAS ERRONEOUS A.The A eal Board Exceeded its Jur isdiction Applicant supports the Staff'argument that the Appeal Board exceeded its jurisdiction in issuing instructions to the Staff respecting how the Staff will treat an application for an OL that has yet to be filed.Applicant adopts the Staff's arg uments at pages 4-7 of the Staf f Petition.B.The Appeal Board Exceeded its Authority in Direct-in the Staff to Deviate from Commission Re ulations The Appeal Board acknowledged that its directions to the Staff deviate from Commission regulations.
However, it took the position that the regulations simply"chart the course that the Staff is generally to pursue in its processing of an operating license application" and thus it apparently finds that"some deviation[here'modest in scope']from that course is permissible." ALAB-577 at 29-30.The Appeal Board's casual attitude toward the regulations does not square with the 7 The Appeal Board asserted that Applicant did not question its authority to issue the"substitute directive." ALAB-581 at 6.In fact, Applicant, in arguing for the modification to the Appeal Board's order, noted that the directions to the Staff deviated from the Commission's regulations.
Motion for Modification at 2.Applicant s modification would provide"that the notice of opportunity for hearing would be published as soon as practicable after the OL application is docketed as re uired b g 2.105(a)(4);" Motion for Modification at 3 (emphasis added).Rather than simply challenge the Appeal Board's authority, Applicant proposed a remedy which would accomplish the Appeal Board's objective and would be less likely to affect adversely Applicant's schedule for obtaining an OL.
Commission's intent in establishing its procedures, In issuing substantial amendments to its regulations governing the procedures for reviewing facility license applications and conducting proceedings concerning license applications, the Commission acknowledged its responsibility to applicants, the public participating in the licensing process and the general'ublic.
The Commission expressly recognized"the positive necessity for expediting the decisionmaking process and avoiding undue delays." 37>ed.Rece.15127 (July 28, 1972).Furthermore, the Commission explained its requirement that a notice of opportunity for hearing be issued as soon as practicable after the application is docketed as one"to provide potential intervenors a better opportunity for more meaningful participation in the hearing process." 15128.Furthermore, the courts have established a judicial rule that agencies must follow their own regulations once they are issued.See e.c(.Nader v.NRC, 513 F.2d 1045, 1051 (D.C.Cir.1975);Service v.Dulles, 354 U.S.363, 388 (1957);U.S.v.Nixon, 418 U.S.683, 695-97 (1975).The Appeal Board apparently did not feel so bound.8 The Staff also noted its concern that the Appeal Board's order"is inconsistent with the established Commission policy of encourag'ing an opportunity for the public to observe and participate in the licensing process at its earliest stages." Staff Petition at 7, fn.5.
C.The Appeal Board's Reasons for Denying Applicant's Motion for Modification Were based on Dubious and Unsu portable Assum tions The Appeal Board asserts that it is not"clear" that its directions to the Staff will delay Applic nt's obtaining an operating license by June 1983 and thus ie, questions the need for Applicant's proposed modification.
Applicant concedes that/it is conjecture as to how long the Staff will take to perform its evaluation and whether or not the delay in issuance of a notice of opportunity for hearing will delay the issuance of an OL.The Appeal Board suggests that"in the exercise of appropriate diligence" the Staff could comply with its instructions"in time to enable its issuance of the notice of opportunity for hearing by early Fall at the latest." ALAB-581 at 9.Of course the Appeal Board offers no assurances.
ln fact it suggests a few pages later that without a"strong incentive" to the Staff, there is the possibility of a"lengthy deferral" of the Staff's evaluation.
Zd.at ll.We believe that it is reasonable to assume, in light of the considerable demands made on the Staff.in the aftermath of Three Mile island and due to the back-log of case work already pending, that the Appeal Board's optimistic projection could be just that.Certainly, the Commission is in a better position than the Appeal Board to predict the Staff's work-load and can take official notice of the potential for undue delay.However, 9 Applicant is concerned that the Staff might be more likely to take from six months to a year to issue its report.
Applicant's proposed modification would minimize the impact of"~an delay in the Staff'completion of the evaluation.
The only reason given for actual rejection of Applicant' proposed modification was the Appeal Board's concern that the Staff might unreasonably delay completion of its evaluation.
If the Appeal Board views such dilatory performance by the Staff as a real concern, the more appropriate remedy would be to require the Staff to complete its evaluation within a specified period of time.It does not follow that notice to the public and initiation of the OL proceeding should be held hostage to the Staff'evaluation in order to provide an incentive to the Staff to do its job in a timely manner.CONCLUSION Applicant petitions the Commission to find that the Appeal Board'directions to the Staf f in ALAB-577, wi thout adoption of Applicant's proposed modifications which were rejected in ALAB-581, controvert the Commission
'regulations.
In the alternative, the Commission could find, as urged by the Staff, that the Appeal Board lacks jurisdiction to issue any such directions to the Staff concerning the procedures by which the Staff will treat an application that has not yet been filed.If the Commission accepts the Staff's suggestion to issue similar directions respecting an evaluation of Applicant's management capability in conjunction with a review of Applicant's application for an OL for the Shearon Harris facility, Applicant urges that the Commission adopt the modified procedures suggested in Applicant's Motion for Modif ication.Respectfully submitted, SHAW i P ITTMAN g POTTS 6 TROWBRIDGE Dated: March 11, 1980 G org F.Trowbridge ohn H.O'eill, Jr.Counsel for Applicants 1800 M Street, N.W.Suite 900 Washington, D.C.20036 Telephone:
(202)331-4100 10 UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION In the Matter of CAROLINA PONER 6 LIGHT COMPANY (Shearon Harris Nuclear Power Plant, Units 1,~2, 3 and 4))))Docket Nos.50-400)50-401)50-402)50-403 CERTIFICATE OF SERVICE I hereby certify that copies of the foregoing"APPLICANT'S PETITION FOR REVIEW OF ALAB-581" have been served upon each of.the persons listed on the attached service list by mail, postage prepaid, or by hand delivery this 11th day of March, 1980.Jo n H.O'eill, Jr.Dated: March 11, 1980 UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION In the Matter of CAROLINA POWER 6 LIGHT COMPANY (Shearon Harris Nuclear Power Plant, Units 1, 2, 3 and 4))))Docket Nos.50-400)50-401)50-402)50-403 SERVICE LIST The Honorable John F.'hearne Chairman U.S.Nuclear Regulatory Commission Washington, D.C.20555 The Honorable Joseph M.Hendrie C,ommi s s ioner U.S.Nuclea Regulatory Commission Washington, D.C.20555 The Honorable Victor Gilinsky Commis s ioner U.S.Nuclear Regulatory Commission Washington, D.C.20555 The Honorable Richard T.Kennedy Commissioner U.S.Nuclear Regulatory Commission Washington, D.C.20555 The Honorable Peter A.Bradford Commissioner U.S.Nuclear Regulatory Commission Washington, D.C.20555 Alan S.Rosenthal', Esq.Chairman Atomic Safety and Licensing Appeal Board U.S.Nuclear Regulatory Commission Washington, D.C.20555 Dr.John H.Buck Atomic Safety and Licensing Appeal Board U.S.Nuclear Regulatory Commission Washington, D.C.20555 Michael C.Farrar, Esq.Atomic Safety and Licensing Appeal Board U.S.Nuclear Regulatory Commission, Washington, D.C.20555 Ivan W.Smith, Esquire Chairman Atomic Safety and Licensing Board, U.S.Nuclear Regulatory Commission
~Washington, D.C.20555 Mr.Glenn O.Bright Atomic Safety and Licensing Board U.S.Nuclear Regulatory Commission
~Washington, D.C.20555 Dr.J.V.Leeds, Jr.10807 Atwell Houston, Texas 77096 M.David Gordon, Esquire Associate Attorney General State of North Carolina P.O.Box 629 Raleigh, North Carolina 27602 Edwin J.Reis, Esquire Office of the Executive Legal Director U.S'.Nuclear Regulatory Commission Washington, D.C.20555 Thomas S.Erwin, Esquire P.O.Box 928 115 West Morgan Street Raleigh, North Carolina 27602 Doch;eting and Service Section.Office of the Secretary U.S.Nuclear Regulatory Commission Washington, D.C.20555 Mr.Wells Eddleman Route 1 Box 183 Durham, North Carolina 27705 Kudzu'lliance Box 3036 Chapel Hill, North Carolina 27514 Samuel J.Chilk Secretary of the'Commission U.S.Nuclear Regulatory Commission Washington, D.C.20555