ML19309E900: Difference between revisions
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{{#Wiki_filter:- _ - - ..-..--.. x | {{#Wiki_filter:- _ - - ..-..--.. x | ||
,O | ,O | ||
.o | .o "UIhITED 'S1 ATES OF A!! ERICA 4 | ||
" " '-" '-~ | " " '-" '-~ | ||
.ns.. | .ns.. | ||
, ~ | , ~ | ||
NUCLFAR REGULATORY COMMIGSION ' ' ''' | NUCLFAR REGULATORY COMMIGSION ' ' ''' | ||
@ R | @ R | ||
' BEFORM 'pr:g Apo Tri q psy sin nT"afsT"O iPPai, BOARD ff ,, ,,m g Alan S. Rosenthal Chair - ' ; eame Dr. John H. Buck , Member | ' BEFORM 'pr:g Apo Tri q psy sin nT"afsT"O iPPai, BOARD ff ,, ,,m g Alan S. Rosenthal Chair - ' ; eame Dr. John H. Buck , Member | ||
- 't -- '' | - 't -- '' | ||
Michael C. Farrar,, Member ,,. p . It ''- | Michael C. Farrar,, Member ,,. p . It ''- | ||
0}- MAR 2 5 GSO> 'I | 0}- MAR 2 5 GSO> 'I | ||
* ;,cifiieof ts/Secrebry Jn the Matter of: . | * ;,cifiieof ts/Secrebry Jn the Matter of: . | ||
~ 'o r -Docketing & Senke | ~ 'o r -Docketing & Senke | ||
- t ' manch 8 H0 3Toli IIGIITING AND POWER COMPANY (Allens Ordek'Uuclear Generating ., Docket No. 50-466 I | - t ' manch 8 H0 3Toli IIGIITING AND POWER COMPANY (Allens Ordek'Uuclear Generating ., Docket No. 50-466 I | ||
- ~ ' ' N | - ~ ' ' N Station, Unit 1) ' | ||
Station, Unit 1) ' | |||
APPEAL IN BEHALF OF F. H. .POTTHOFF,- III, PETITIONER ' | APPEAL IN BEHALF OF F. H. .POTTHOFF,- III, PETITIONER ' | ||
John | John | ||
Line 50: | Line 39: | ||
- . ~ | - . ~ | ||
files this," Appeal in behalf of F. H. Potthoff,T.II7 of Houston . | files this," Appeal in behalf of F. H. Potthoff,T.II7 of Houston . | ||
Texas, an Petitioner for leave to Intervene in the above Con-struction license proceeding.. ,This filing is pursuant to-the Licensing Board Order of March. 11, 1930 (here after' Order") | Texas, an Petitioner for leave to Intervene in the above Con-struction license proceeding.. ,This filing is pursuant to-the Licensing Board Order of March. 11, 1930 (here after' Order") | ||
~ | ~ | ||
unpagek9,tbat, , | unpagek9,tbat, , | ||
," [a] party. other. than the Petitioner .m' ay | ," [a] party. other. than the Petitioner .m' ay appeal to the Appeal Board on the question wheter any peti- ' | ||
appeal to the Appeal Board on the question wheter any peti- ' | |||
tion fo,r leave to intervene should have been wholly denied." | tion fo,r leave to intervene should have been wholly denied." | ||
F. H. Potthoff was wholly denied in.six contentions, havidg , - | F. H. Potthoff was wholly denied in.six contentions, havidg , - | ||
established standing,(Order, pg. ~12). This Appeal is timely under this "Ri ht 6 of Appeal" (Ordor, pg.109), .: add':is ' based entirely-on.Y e-issde: | established standing,(Order, pg. ~12). This Appeal is timely under this "Ri ht 6 of Appeal" (Ordor, pg.109), .: add':is ' based entirely-on.Y e-issde: | ||
6fiadmissibility..of Contedtiori VI.' (Eidiibit) | 6fiadmissibility..of Contedtiori VI.' (Eidiibit) | ||
Mr. Potthoff was denied. for failure to "Cp] rovide a basis for alleging that (such) a large scale marine biomass | Mr. Potthoff was denied. for failure to "Cp] rovide a basis for alleging that (such) a large scale marine biomass farm would be an environmentally superior alternative"*.: ;. . | ||
farm would be an environmentally superior alternative"*.: ;. . | |||
proposed project. (Order, pg. 12), Instead, Mr. Potthoff stated in his 6/1/79 submission of Contention VI (See Exhibit - | proposed project. (Order, pg. 12), Instead, Mr. Potthoff stated in his 6/1/79 submission of Contention VI (See Exhibit - | ||
Attached) that, "(I) contend buildin6 and operating a marine biomass farm, or other biomass production systems, would be environmentally oreferable to ACliGS (Allons Creek Huclear Generating Station) and ask the Board to deny the permit undar the NEP1." | Attached) that, "(I) contend buildin6 and operating a marine biomass farm, or other biomass production systems, would be environmentally oreferable to ACliGS (Allons Creek Huclear Generating Station) and ask the Board to deny the permit undar the NEP1." | ||
Q $ 8004240 5W | Q $ 8004240 5W | ||
;-,r b | ;-,r b | ||
. ,l , - | . ,l , - | ||
?p' | ?p' | ||
'$here the Licensing Board may have interpreted " preferable" as " superior", in Mr. Potthoff's behal( it appears it was not willing to infer that a Petitioner not trained in law mi Sht well presume that the basis would be obvious. .It appears'that Mr. | |||
'$here the Licensing Board may have interpreted " preferable" | |||
as " superior", in Mr. Potthoff's behal( it appears it was not willing to infer that a Petitioner not trained in law mi Sht well presume that the basis would be obvious. .It appears'that Mr. | |||
Potthoff thought the Board would take notic'e without a spe-cific reference to the advanta5es of biomass energy' production' to the South Texas region over the inundation of land for the cooling lake and land destruction for uranium mining to[ fuel , | Potthoff thought the Board would take notic'e without a spe-cific reference to the advanta5es of biomass energy' production' to the South Texas region over the inundation of land for the cooling lake and land destruction for uranium mining to[ fuel , | ||
the project for 40 years. | the project for 40 years. | ||
The Appeal Board may :wish to note that when a layperson cr'ntes e a legal document, there is often some latitude allowed- . | The Appeal Board may :wish to note that when a layperson cr'ntes e a legal document, there is often some latitude allowed- . | ||
be~cause of the given lack of training of the creator. Hence, in Eaton v.cBrown, 193 U.S 411, 24 S. Ct. 487, 48 L. Ed. 730, 1902. | be~cause of the given lack of training of the creator. Hence, in Eaton v.cBrown, 193 U.S 411, 24 S. Ct. 487, 48 L. Ed. 730, 1902. | ||
JusticeHolacs,speakingforTheCourtsaidofawill,"@)here is no doubt either of the dan 6er in going beyond the'literdi and | JusticeHolacs,speakingforTheCourtsaidofawill,"@)here is no doubt either of the dan 6er in going beyond the'literdi and grammatica1 meaning of the words." | ||
grammatica1 meaning of the words." | |||
Yet, the court applied-the intent of the writer instead of her expression resulting ; | Yet, the court applied-the intent of the writer instead of her expression resulting ; | ||
in 'a different dispo'sition of her property. In the instant,. | in 'a different dispo'sition of her property. In the instant,. | ||
. , - u :. u s ai. | . , - u :. u s ai. | ||
' situation,.Mr. Potthoff, being ' untrained, probably thought,the | ' situation,.Mr. Potthoff, being ' untrained, probably thought,the | ||
~ | ~ | ||
..a~ , | ..a~ , | ||
Board Would automatically infer,that the growing of plants | Board Would automatically infer,that the growing of plants | ||
.v . . . | .v . . . | ||
must have some a'rguable benefits over the effects of nuclear stations on the environment, and passed over their mention. | |||
must have some a'rguable benefits over the effects of nuclear | |||
stations on the environment, and passed over their mention. | |||
..~ . . . . | ..~ . . . . | ||
This 1? peal is not to argue that there are such superiorities, | This 1? peal is not to argue that there are such superiorities, in this particular special licensing instance, but rather from | ||
in this particular special licensing instance, but rather from | |||
. e . i: ,i r i | . e . i: ,i r i | ||
the known generalities with regard to biomass conversion viewed l | the known generalities with regard to biomass conversion viewed l | ||
as a national solution to energy supply, many superiorities have | as a national solution to energy supply, many superiorities have | ||
' l been alleged, from which a' citizen-petitioner might well believe l | |||
' l | l 1 | ||
been alleged, from which a' citizen-petitioner might well believe | |||
1 | |||
t . % . | t . % . | ||
. . . - . . . . . . . . s. ....w | . . . - . . . . . . . . s. ....w | ||
> - .i it unnecessary to indicate the advantages. | > - .i it unnecessary to indicate the advantages. | ||
- Therefore, this Party preys the Appeal Board reverse the | - Therefore, this Party preys the Appeal Board reverse the | ||
,' Board Order of March 11, 1980 with regard to the Contention VI of F. H. Potthoff III, anladmit him as an Intervenor in | ,' Board Order of March 11, 1980 with regard to the Contention VI of F. H. Potthoff III, anladmit him as an Intervenor in | ||
~ - | ~ - | ||
this proceeding for the purpose of arguing the' environmental superiority of marine biomass energy production. | this proceeding for the purpose of arguing the' environmental superiority of marine biomass energy production. | ||
Respectfull Submi ted, ohn F. Doherty CERTIFICATE OF SERVICE I hereby certify that copies of " APPEAL IU BEHALF OF F. H. POTTHOFF III, PETITIONER" in the above captioned proceeding have been served on he following by deposit in the U. S. Postal Service, this~ .7/ 'of March, 1980: | |||
Respectfull Submi ted, | |||
ohn F. Doherty | |||
CERTIFICATE OF SERVICE I hereby certify that copies of " APPEAL IU BEHALF OF F. H. POTTHOFF III, PETITIONER" in the above captioned proceeding | |||
have been served on he following by deposit in the U. S. Postal Service, this~ .7/ 'of March, 1980: | |||
1. | 1. | ||
Sheldon J. Wolfe, Esq.,, Chairman Richard Lowerre, Esq. | Sheldon J. Wolfe, Esq.,, Chairman Richard Lowerre, Esq. | ||
Atomic Safety and Licensing Board Asst. Att. General for Panel the State of Texas U. S. Nuclear Regulatory Commission P. O. Box 12548 Washington, D.C. 20555 Capitol Station Austin, Tuxas 78711 Dr. E. Leonard Cheatum Route 3, Box 305A Atomic Safety and Licensing Watkinsville, Georgia 30677 Appeal Board U.S. Nuclear Regulatory Mr. Gustave A. Linenberger Commission Atomic Safety and Licensing Washington, D.C. 20555 . | Atomic Safety and Licensing Board Asst. Att. General for Panel the State of Texas U. S. Nuclear Regulatory Commission P. O. Box 12548 Washington, D.C. 20555 Capitol Station Austin, Tuxas 78711 Dr. E. Leonard Cheatum Route 3, Box 305A Atomic Safety and Licensing Watkinsville, Georgia 30677 Appeal Board U.S. Nuclear Regulatory Mr. Gustave A. Linenberger Commission Atomic Safety and Licensing Washington, D.C. 20555 . | ||
Board Panel U.S. Nuclear Regulatory Co==ission Docketing and Service Section | Board Panel U.S. Nuclear Regulatory Co==ission Docketing and Service Section | ||
, Washington, D. C. 20555 Office of the Secretary | , Washington, D. C. 20555 Office of the Secretary U.S. Nuclear Regulatory J. Gregory Copeland,Esq. Commission Baker & Botts , | ||
U.S. Nuclear Regulatory J. Gregory Copeland,Esq. Commission Baker & Botts , | |||
Washington, D.C. 20555 ' | Washington, D.C. 20555 ' | ||
One Shell Plaza Houston, Texas 77002 F. H. Pottheff III | One Shell Plaza Houston, Texas 77002 F. H. Pottheff III |
Latest revision as of 11:25, 1 February 2020
ML19309E900 | |
Person / Time | |
---|---|
Site: | Allens Creek File:Houston Lighting and Power Company icon.png |
Issue date: | 03/21/1980 |
From: | Doherty J DOHERTY, J.F. |
To: | Atomic Safety and Licensing Board Panel |
Shared Package | |
ML19309E906 | List: |
References | |
NUDOCS 8004240548 | |
Download: ML19309E900 (3) | |
Text
- _ - - ..-..--.. x
,O
.o "UIhITED 'S1 ATES OF A!! ERICA 4
" " '-" '-~
.ns..
, ~
NUCLFAR REGULATORY COMMIGSION ' '
@ R
' BEFORM 'pr:g Apo Tri q psy sin nT"afsT"O iPPai, BOARD ff ,, ,,m g Alan S. Rosenthal Chair - ' ; eame Dr. John H. Buck , Member
- 't --
Michael C. Farrar,, Member ,,. p . It -
0}- MAR 2 5 GSO> 'I
- ;,cifiieof ts/Secrebry Jn the Matter of: .
~ 'o r -Docketing & Senke
- t ' manch 8 H0 3Toli IIGIITING AND POWER COMPANY (Allens Ordek'Uuclear Generating ., Docket No. 50-466 I
- ~ ' ' N Station, Unit 1) '
APPEAL IN BEHALF OF F. H. .POTTHOFF,- III, PETITIONER '
John
.:..c.. . .
F._ Doherty, of 4327 Alconbury Lane, Houston, Texas,
- . ~
files this," Appeal in behalf of F. H. Potthoff,T.II7 of Houston .
Texas, an Petitioner for leave to Intervene in the above Con-struction license proceeding.. ,This filing is pursuant to-the Licensing Board Order of March. 11, 1930 (here after' Order")
~
unpagek9,tbat, ,
," [a] party. other. than the Petitioner .m' ay appeal to the Appeal Board on the question wheter any peti- '
tion fo,r leave to intervene should have been wholly denied."
F. H. Potthoff was wholly denied in.six contentions, havidg , -
established standing,(Order, pg. ~12). This Appeal is timely under this "Ri ht 6 of Appeal" (Ordor, pg.109), .: add':is ' based entirely-on.Y e-issde:
6fiadmissibility..of Contedtiori VI.' (Eidiibit)
Mr. Potthoff was denied. for failure to "Cp] rovide a basis for alleging that (such) a large scale marine biomass farm would be an environmentally superior alternative"*.: ;. .
proposed project. (Order, pg. 12), Instead, Mr. Potthoff stated in his 6/1/79 submission of Contention VI (See Exhibit -
Attached) that, "(I) contend buildin6 and operating a marine biomass farm, or other biomass production systems, would be environmentally oreferable to ACliGS (Allons Creek Huclear Generating Station) and ask the Board to deny the permit undar the NEP1."
Q $ 8004240 5W
- -,r b
. ,l , -
?p'
'$here the Licensing Board may have interpreted " preferable" as " superior", in Mr. Potthoff's behal( it appears it was not willing to infer that a Petitioner not trained in law mi Sht well presume that the basis would be obvious. .It appears'that Mr.
Potthoff thought the Board would take notic'e without a spe-cific reference to the advanta5es of biomass energy' production' to the South Texas region over the inundation of land for the cooling lake and land destruction for uranium mining to[ fuel ,
the project for 40 years.
The Appeal Board may :wish to note that when a layperson cr'ntes e a legal document, there is often some latitude allowed- .
be~cause of the given lack of training of the creator. Hence, in Eaton v.cBrown, 193 U.S 411, 24 S. Ct. 487, 48 L. Ed. 730, 1902.
JusticeHolacs,speakingforTheCourtsaidofawill,"@)here is no doubt either of the dan 6er in going beyond the'literdi and grammatica1 meaning of the words."
Yet, the court applied-the intent of the writer instead of her expression resulting ;
in 'a different dispo'sition of her property. In the instant,.
. , - u :. u s ai.
' situation,.Mr. Potthoff, being ' untrained, probably thought,the
~
..a~ ,
Board Would automatically infer,that the growing of plants
.v . . .
must have some a'rguable benefits over the effects of nuclear stations on the environment, and passed over their mention.
..~ . . . .
This 1? peal is not to argue that there are such superiorities, in this particular special licensing instance, but rather from
. e . i: ,i r i
the known generalities with regard to biomass conversion viewed l
as a national solution to energy supply, many superiorities have
' l been alleged, from which a' citizen-petitioner might well believe l
l 1
t . % .
. . . - . . . . . . . . s. ....w
> - .i it unnecessary to indicate the advantages.
- Therefore, this Party preys the Appeal Board reverse the
,' Board Order of March 11, 1980 with regard to the Contention VI of F. H. Potthoff III, anladmit him as an Intervenor in
~ -
this proceeding for the purpose of arguing the' environmental superiority of marine biomass energy production.
Respectfull Submi ted, ohn F. Doherty CERTIFICATE OF SERVICE I hereby certify that copies of " APPEAL IU BEHALF OF F. H. POTTHOFF III, PETITIONER" in the above captioned proceeding have been served on he following by deposit in the U. S. Postal Service, this~ .7/ 'of March, 1980:
1.
Sheldon J. Wolfe, Esq.,, Chairman Richard Lowerre, Esq.
Atomic Safety and Licensing Board Asst. Att. General for Panel the State of Texas U. S. Nuclear Regulatory Commission P. O. Box 12548 Washington, D.C. 20555 Capitol Station Austin, Tuxas 78711 Dr. E. Leonard Cheatum Route 3, Box 305A Atomic Safety and Licensing Watkinsville, Georgia 30677 Appeal Board U.S. Nuclear Regulatory Mr. Gustave A. Linenberger Commission Atomic Safety and Licensing Washington, D.C. 20555 .
Board Panel U.S. Nuclear Regulatory Co==ission Docketing and Service Section
, Washington, D. C. 20555 Office of the Secretary U.S. Nuclear Regulatory J. Gregory Copeland,Esq. Commission Baker & Botts ,
Washington, D.C. 20555 '
One Shell Plaza Houston, Texas 77002 F. H. Pottheff III
' 7200 Shady Villa ;jf110 Jack Newman, Esq. Houston, Texas 77055 Lowenstein, Reis, Newman & Azelrad 1025 Connecticut Avenue, N.W. James M. Scott, Esq.
~
Washington, D. C. 20037 TexPIRG Bo'x 237 U. C.
. Univ. of Houston,
. Houston, Texas 7700l+ ,
1