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| . M EG.0M In the Matter of 7 LONG ISLAND LIGHTING COMPANY .f . | | . M EG.0M In the Matter of 7 LONG ISLAND LIGHTING COMPANY .f . |
| (Shoreham Nuclear Power Station, Unit 1) | | (Shoreham Nuclear Power Station, Unit 1) |
| Docket No. 50-322 | | Docket No. 50-322 l' |
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| | CERTIFICATE OF SERVICE I hereby certify that copies of: |
| l' CERTIFICATE OF SERVICE I hereby certify that copies of: | |
| J (1) Applicant's Request for Summary Disposition of Suffolk County's Contentions 4a(ii), (iii) | | J (1) Applicant's Request for Summary Disposition of Suffolk County's Contentions 4a(ii), (iii) |
| & (xvii), 12a(ii) , 17a(i)-(ii) , anc 20a(i)-(ii) | | & (xvii), 12a(ii) , 17a(i)-(ii) , anc 20a(i)-(ii) |
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| Commission Washington, D.C. 20555 99 0#09 | | Commission Washington, D.C. 20555 99 0#09 |
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| , Jeffrey C. Cohen, Esq. Ralph Shapiro, Esq. | | , Jeffrey C. Cohen, Esq. Ralph Shapiro, Esq. |
| New York State Energy Office Cammer & Shapiro Swan Street Building - Core 1 9 East 40th Street | | New York State Energy Office Cammer & Shapiro Swan Street Building - Core 1 9 East 40th Street |
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| : d. Si // st Tamrtu F. Case Whittemore Hunton & Williaus P.O. Box 1535 707 East Main Street Richmond, Virginia 23212 DATED: February 5, 1979 | | : d. Si // st Tamrtu F. Case Whittemore Hunton & Williaus P.O. Box 1535 707 East Main Street Richmond, Virginia 23212 DATED: February 5, 1979 |
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| . 2/5/79 | | . 2/5/79 UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION Eefore the Atomic Safety and Licensinz Board In the Matter of ) |
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| UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION Eefore the Atomic Safety and Licensinz Board In the Matter of ) | |
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| LONG ISLAND LIGHTING COMPANY ) Docket No. 50-322 | | LONG ISLAND LIGHTING COMPANY ) Docket No. 50-322 |
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| B. The Need for Early Summary Discosition Persists The Applicant's First Request analyzed the time required to complete the Shoreham operating license proceeding, including detailed schedules of the pre- and post-hearing phases. This analysis showed that if hearings are required on cost, if not all, of SC's pending contentions, the operating license proceed-ing may very well not be completed by the time the plant is ready to load fuel. Applicant's First Request at 5-9 The Applicant invited any other parties to this proceeding who did not share | | B. The Need for Early Summary Discosition Persists The Applicant's First Request analyzed the time required to complete the Shoreham operating license proceeding, including detailed schedules of the pre- and post-hearing phases. This analysis showed that if hearings are required on cost, if not all, of SC's pending contentions, the operating license proceed-ing may very well not be completed by the time the plant is ready to load fuel. Applicant's First Request at 5-9 The Applicant invited any other parties to this proceeding who did not share |
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| our sense of urgency to explain why not in meaningful detail. | | our sense of urgency to explain why not in meaningful detail. |
| Id. at 1, 9. | | Id. at 1, 9. |
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| In order to maximize the benefits cf the one-step pro-cess, the Applicant has not limited its summary dieposition fil- | | In order to maximize the benefits cf the one-step pro-cess, the Applicant has not limited its summary dieposition fil- |
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| t ings to just those contentions that have been accepted without qualification. Instead, it has included some of the more well defined contentions that have been accepted only for purposes of discovery. Contrary to the position taken on pages 3-4 of the Staff's Answer, the Board should allow the summary disposi-tion process co go forward in order to relieve the schedule difficulties discussed above. Moreover, even though the Staff technical personnel are fully occupied completing the Shoreham SER, a decision by the Board on Applicant's summary disposition motions need not await any further response by the Staff. This is because it is solely incumbent upon the County to indicate for each contention that its concerns have been resolved or to demonstrate why a genuine issue of fact remains to be litigated. | | t ings to just those contentions that have been accepted without qualification. Instead, it has included some of the more well defined contentions that have been accepted only for purposes of discovery. Contrary to the position taken on pages 3-4 of the Staff's Answer, the Board should allow the summary disposi-tion process co go forward in order to relieve the schedule difficulties discussed above. Moreover, even though the Staff technical personnel are fully occupied completing the Shoreham SER, a decision by the Board on Applicant's summary disposition motions need not await any further response by the Staff. This is because it is solely incumbent upon the County to indicate for each contention that its concerns have been resolved or to demonstrate why a genuine issue of fact remains to be litigated. |
| C. Second Group of Summarv Discosition Motions The following documents constitute the Applicant's second group of motions for summary disposition, filed pursuant to 10 CFR $ 2.749: | | C. Second Group of Summarv Discosition Motions The following documents constitute the Applicant's second group of motions for summary disposition, filed pursuant to 10 CFR $ 2.749: |
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| : d. Motion for Summary Disposition of SC Conten-tions 20a(i)-(ii) with two attached Affi-davits of Foroohar Boorboor-For the reasons stated in the foregoing materials, the Appli- | | : d. Motion for Summary Disposition of SC Conten-tions 20a(i)-(ii) with two attached Affi-davits of Foroohar Boorboor-For the reasons stated in the foregoing materials, the Appli- |
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| cant requests that SC contet tions 4a(ii), (iii) & (xvii), 12a (ii), 17a(i)-(ii), and 20a(i)-(ii) be dismissed because, as to each, "there is no genuine issue to be heard." 10 CFR S 2.749(a). | | cant requests that SC contet tions 4a(ii), (iii) & (xvii), 12a (ii), 17a(i)-(ii), and 20a(i)-(ii) be dismissed because, as to each, "there is no genuine issue to be heard." 10 CFR S 2.749(a). |
| In the alternative, if the Board finds summary disposi-tion inappropriate as to any affected contention (in whole or part), the Applicant requests that the Board, after receiving the enclosed materials and SC's reply, (1) state the exact issue (s) to be litigated from among the contention (s) in ques-tion and (2) schedule hearings on these issue (s) to begin promptly and in conjunction with hearings on any issue from the Applicant's First Request. | | In the alternative, if the Board finds summary disposi-tion inappropriate as to any affected contention (in whole or part), the Applicant requests that the Board, after receiving the enclosed materials and SC's reply, (1) state the exact issue (s) to be litigated from among the contention (s) in ques-tion and (2) schedule hearings on these issue (s) to begin promptly and in conjunction with hearings on any issue from the Applicant's First Request. |
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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20093G4541995-10-18018 October 1995 Comment Supporting Proposed Rules 10CFR2,50 & 51 Re Decommissioning Procedures for Nuclear Power Reactors ML20058K7381993-12-0303 December 1993 Memorandum & Order CLI-93-25.* Commission Denies State of Nj Petition for Leave to Intervene & Request for Adjudicatory Hearing Filed on 931008.W/Certificate of Svc.Served on 931203 ML20058E0151993-11-14014 November 1993 Comment Opposing Proposed Rule 10CFR50 Re Exemptions in Accident Insurance for Nuclear Power Plants Prematurely Shut Down ML20059B0301993-10-22022 October 1993 NRC Staff Response to Commission Questions Posed W/Respect to State of New Jersey Petition for Leave to Intervene & Request for Hearing.* Denies Petition to Intervene & Request for Hearing.W/Certificate of Svc & Notice of Appearance ML20059B0621993-10-20020 October 1993 Long Island Power Authority Response to Nuclear Regulatory Commission Order of 931014.* Requests That NRC Reject State of Nj Filing.W/Certificate of Svc ML20059B1111993-10-20020 October 1993 Philadelphia Electric Co Response to NRC 931014 Order.* State Failed to Demonstrate Entitlement to Hearing to Challenge Util Amend to Permit Util to Receive Shoreham Fuel ML20059A4581993-10-14014 October 1993 Order Requesting Answers to Two Questions Re State of Nj Request for Immediate Action by NRC or Alternatively, Petition for Leave to Intervene & Request for Hearing. Operations Plans for Marine Transportation Withheld ML20057G2141993-10-14014 October 1993 Order.* Requests for Simultaneous Responses,Not to Exceed 10 Pages to Be Filed by State,Peco & Lipa & Served on Other Specified Responders by 931020.NRC May File by 931022. W/Certificate of Svc.Served on 931014 ML20059F0191993-10-0808 October 1993 Long Island Power Authority Reply to New Jersey Filing of 931020.* Licensee Requests That NRC Deny State of Nj Intervention Petition.W/Certificate of Svc ML20057F2191993-09-30030 September 1993 Exemption from Requirements of 10CFR50.54(q) Eliminating Licensee Requirement to Follow & Maintain in Effect Emergency Plans ML20059B1291993-09-14014 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 ML20097C2911992-06-0303 June 1992 Petitioner Consented Motion to Dismiss Appeal.* Dismisses 911203 Notice of Appeal W/Prejudice & W/Each Party Bearing Own Costs & Atty Fees Due to Encl Settlement Agreement. W/Certificate of Svc ML20097C1361992-06-0303 June 1992 Petitioners Consented Motion to Dismiss.* Petitioners by Counsel Move ASLB to Dismiss Petitioners as Petitioners for Leave to Intervene & Request for Hearing in Proceeding W/ Prejudice.W/Certificate of Svc ML20097C1081992-06-0303 June 1992 Petitioners Consented Motion to Dismiss Appeal.* Petitioners Hereby Move to Dismiss 910628 Notice of Appeal in Matter W/Prejudice & W/Each Party to Bear Own Costs & Atty Fees.W/ Certificate of Svc ML20097C2631992-06-0303 June 1992 Petitioner Consented Motion to Dismiss.* NRC Should Issue Order Dismissing School District & Scientists & Engineers for Secure Energy,Inc as Petitioners in Proceeding.W/ Settlement Agreement & Certificate of Svc ML20097C2891992-06-0303 June 1992 Petitioner Consented Motion to Dismiss Appeals.* Appeals Being Dismissed Due to Encl Settlement Agreement.Nrc Should Dismiss Appeals W/Prejudice & W/Each Party Bearing Own Costs & Atty Fees.W/Certificate of Svc ML20097C3241992-06-0303 June 1992 Petitioners Consented Motion to Dismiss Joint Opposition to Issuance of Decommissioning Order Prior to Hearing.* W/Certificate of Svc ML20096A5921992-05-0707 May 1992 Motion to Withdraw Supplemental Filing.* Petitioners Urge NRC to Allow Withdrawal of Supplement for Good Cause Shown. W/Certificate of Svc ML20096A5311992-05-0606 May 1992 Long Island Power Authority Comments on SECY-92-140 & Response to Petitioner Joint Opposition to Decommissioning Order.* Util Urges NRC to Adopt Recommendation in SECY-92-140 & Approve Order.W/Certificate of Svc ML20096A5071992-05-0505 May 1992 Suppl to Joint Opposition to NRC Staff Recommendation for Issuance of Decommissioning Order Prior to Hearing & Contingent Motion for Stay.* Supplements Joint Opposition Prior to Hearing.W/Certificate of Svc ML20095K8991992-04-29029 April 1992 Joint Opposition to NRC Staff Recommendation for Issuance of Decommissioning Order Prior to Hearing & Contingent Motion for Stay.* Petitioners Urge Commission to Reject NRC Staff Proposal in SECY-92-140.W/Certificate of Svc ML20095H5611992-04-28028 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 ML20094G3971992-02-26026 February 1992 Notice of State Taxpayer Complaint & Correction.* NRC Should Stay Hand in Approving Application for License Transfer as Matter of Comity Pending Resolution of Question as Util Continued Existence in Ny State Courts.W/Certificate of Svc ML20094G2261992-02-25025 February 1992 Petitioner Notice of Lilco/Long Island Power Authority Exaggeration & of Commencement of State Court Action.* NRC Should Await Ny State Decision Re Matter within Special Jurisdiction.W/Certificate of Svc ML20092K9021992-02-24024 February 1992 Petitioner Opposition to Ltr Request for Dismissal of Pages.* Suggests That Transfer of License Inappropriate at Present Time.W/Certificate of Svc ML20092K9511992-02-21021 February 1992 Response of Lilco & Long Island Power Authority to Petitioner Opposition to NRC Staff Recommendation for License Transfer Approval.* W/Certificate of Svc ML20092K8701992-02-20020 February 1992 Petitioners Opposition to NRC Staff Recommendation for Approval of License Transfer.* Urges Commission to Reject NRC Recommendation in SECY-92-041 & Remand Matter for Consideration in Normal Proceeding.W/Certificate of Svc ML20091E2661992-02-20020 February 1992 Petitioner Opposition to NRC Staff Motion to Dismiss.* Petitioners Urge NRC to Deny Staff Motion or Defer Action Until Petitioners Have Fully Developed Petitions & Supplied Detailed Contentions.W/Certificate of Svc ML20091E4011992-02-18018 February 1992 Answer of Long Island Power Authority to NRC Staff Motion to Dismiss Intervention Petitions.* Util Urges NRC to Grant Motion & Dismiss Intervention Petitions.W/Certificate of Svc ML20091E3161992-02-13013 February 1992 Lilco Response to NRC Staff Motion to Dismiss Intervention Petitions on Decommissioning Plan.* Requests That Petitions Be Struck & Petitioners Be Instructed of Possible Dismissal.W/Certificate of Svc ML20091E2741992-02-0606 February 1992 Answer of Long Island Power Authority to Intervention Petitions Concerning Shoreham Decommissioning Plan.* Requests That Petitions for Leave & Requests for Hearing Be Denied.W/Certificate of Svc & Notice of Appearance ML20092D2931992-02-0606 February 1992 Answer Denying Petitions for Leave to Intervene & Request for Prior Hearing Re Decommissioning ML20091E2941992-02-0606 February 1992 Lilco Opposition to Petitioner Request for Hearing on Shoreham Decommissioning Plan.* Informs That Util Opposes Both Requests for Hearing.W/Certificate of Svc ML20091E2831992-01-22022 January 1992 Shoreham-Wading River Central School District Petition for Leave to Intervene & Request for Prior Hearing.* Requests That Petition for Leave Be Granted & Hearing Held. W/Certificate of Svc & Notice of Appearance ML20091E2811992-01-22022 January 1992 Scientists & Engineers for Secure Energy,Inc Petition for Leave to Intervene & Request for Prior Hearing.* Requests That Petition Be Granted & Hearing Be Held.W/Certificate of Svc & Notice of Appearance ML20086T7231992-01-0303 January 1992 Motion of Long Island Power Authority for Leave to File Supplemental Matls.* Requests That Supplemental Memorandum & Supplemental Legislative History Matls Be Filed. W/Certificate of Svc ML20086T7541992-01-0303 January 1992 Memorandum of Long Island Power Authority Concerning Supplemental Legislative History Matls.* Supports Legislative History & Argues That License Not Subj to Termination Under Section 2828.W/Certificate of Svc ML20086Q9281991-12-30030 December 1991 Opposition of Util to Motion for Stay of License Transfer & to Suggestion of Mootness.* Concluded That Relief Sought in Petitioner Motion & Suggestion Should Be Denied. W/Certificate of Svc ML20086Q9171991-12-30030 December 1991 Lilco Opposition to Petitioners Request for Stay & Suggestion of Mootness.* Suggests That Stay Request & Suggestion of Mootness Be Denied.W/Certificate of Svc ML20091H8261991-12-19019 December 1991 Suggestion of Mootness Due to Long Island Power Authority Imminent Demise.* Concludes That If Commission Were to Transfer Shoreham Licenses to Lipa,Nrc Could Find Itself W/Class 103 Facility W/O Licensee.W/Certificate of Svc ML20091H8661991-12-18018 December 1991 Lilco Opposition to SE2 Appeal from LBP-91-26 & LBP-91-39. Concludes That Appeal Should Be Summarily Rejected or Be Denied on Merits.W/Certificate of Svc ML20086N1661991-12-17017 December 1991 Motion for Stay of License Transfer Pending Final Order on Petition to Intervene & Request for Hearing & for Addl or Alternative Stay.W/Certificate of Svc ML20086M0791991-12-16016 December 1991 Certificate of Svc.* Certifies Svc of Petitioner Notice of Appeal & Brief in Support of Appeal in Proceeding to Listed Individuals ML20086J6351991-12-0909 December 1991 Lilco Opposition to Petitioners Contentions on License Transfer Amend.* Concludes That License Transfer Amend Contentions Be Rejected & Petitioner Request to Intervene Denied.W/Certificate of Svc ML20086J3521991-12-0909 December 1991 Response of Long Island Power Authority to Petitioners Joint Supplemental Petition.* Board Should Dismiss Petitions to Intervene for Lack of Standing & Reject All Contentions Proffered by Petitioners.W/Certificate of Svc ML20094E1041991-12-0909 December 1991 Response to Long Island Power Authority to Petitioners Joint Supplemental Petition ML20091G1971991-12-0303 December 1991 Notice of Appeal.* Informs of Appeal of LBP-91-26 & LBP-91-39 in Facility possession-only License Proceeding ML20091G2051991-12-0303 December 1991 Brief in Support of Appeal.* Commission Should Consider Appeal on Basis That Findings of Matl of Facts Clearly Erroneous.W/Certificate of Svc ML20086C5471991-11-18018 November 1991 App to Joint Supplemental Petition of Shoreham-Wading River Central School District & Scientists/Engineers for Secure Energy,Inc.* ML20086C5381991-11-18018 November 1991 Petitioner Joint Supplemental Petition.* Petition Includes List of Contentions to Be Litigated in Hearing Re License Transfer Application.W/Certificate of Svc 1995-10-18
[Table view] Category:PLEADINGS
MONTHYEARML20059B0301993-10-22022 October 1993 NRC Staff Response to Commission Questions Posed W/Respect to State of New Jersey Petition for Leave to Intervene & Request for Hearing.* Denies Petition to Intervene & Request for Hearing.W/Certificate of Svc & Notice of Appearance ML20059B0621993-10-20020 October 1993 Long Island Power Authority Response to Nuclear Regulatory Commission Order of 931014.* Requests That NRC Reject State of Nj Filing.W/Certificate of Svc ML20059B1111993-10-20020 October 1993 Philadelphia Electric Co Response to NRC 931014 Order.* State Failed to Demonstrate Entitlement to Hearing to Challenge Util Amend to Permit Util to Receive Shoreham Fuel ML20059F0191993-10-0808 October 1993 Long Island Power Authority Reply to New Jersey Filing of 931020.* Licensee Requests That NRC Deny State of Nj Intervention Petition.W/Certificate of Svc ML20097C2631992-06-0303 June 1992 Petitioner Consented Motion to Dismiss.* NRC Should Issue Order Dismissing School District & Scientists & Engineers for Secure Energy,Inc as Petitioners in Proceeding.W/ Settlement Agreement & Certificate of Svc ML20097C2911992-06-0303 June 1992 Petitioner Consented Motion to Dismiss Appeal.* Dismisses 911203 Notice of Appeal W/Prejudice & W/Each Party Bearing Own Costs & Atty Fees Due to Encl Settlement Agreement. W/Certificate of Svc ML20097C1361992-06-0303 June 1992 Petitioners Consented Motion to Dismiss.* Petitioners by Counsel Move ASLB to Dismiss Petitioners as Petitioners for Leave to Intervene & Request for Hearing in Proceeding W/ Prejudice.W/Certificate of Svc ML20097C1081992-06-0303 June 1992 Petitioners Consented Motion to Dismiss Appeal.* Petitioners Hereby Move to Dismiss 910628 Notice of Appeal in Matter W/Prejudice & W/Each Party to Bear Own Costs & Atty Fees.W/ Certificate of Svc ML20097C2891992-06-0303 June 1992 Petitioner Consented Motion to Dismiss Appeals.* Appeals Being Dismissed Due to Encl Settlement Agreement.Nrc Should Dismiss Appeals W/Prejudice & W/Each Party Bearing Own Costs & Atty Fees.W/Certificate of Svc ML20097C3241992-06-0303 June 1992 Petitioners Consented Motion to Dismiss Joint Opposition to Issuance of Decommissioning Order Prior to Hearing.* W/Certificate of Svc ML20096A5921992-05-0707 May 1992 Motion to Withdraw Supplemental Filing.* Petitioners Urge NRC to Allow Withdrawal of Supplement for Good Cause Shown. W/Certificate of Svc ML20096A5311992-05-0606 May 1992 Long Island Power Authority Comments on SECY-92-140 & Response to Petitioner Joint Opposition to Decommissioning Order.* Util Urges NRC to Adopt Recommendation in SECY-92-140 & Approve Order.W/Certificate of Svc ML20096A5071992-05-0505 May 1992 Suppl to Joint Opposition to NRC Staff Recommendation for Issuance of Decommissioning Order Prior to Hearing & Contingent Motion for Stay.* Supplements Joint Opposition Prior to Hearing.W/Certificate of Svc ML20095K8991992-04-29029 April 1992 Joint Opposition to NRC Staff Recommendation for Issuance of Decommissioning Order Prior to Hearing & Contingent Motion for Stay.* Petitioners Urge Commission to Reject NRC Staff Proposal in SECY-92-140.W/Certificate of Svc ML20094G2261992-02-25025 February 1992 Petitioner Notice of Lilco/Long Island Power Authority Exaggeration & of Commencement of State Court Action.* NRC Should Await Ny State Decision Re Matter within Special Jurisdiction.W/Certificate of Svc ML20092K9021992-02-24024 February 1992 Petitioner Opposition to Ltr Request for Dismissal of Pages.* Suggests That Transfer of License Inappropriate at Present Time.W/Certificate of Svc ML20092K9511992-02-21021 February 1992 Response of Lilco & Long Island Power Authority to Petitioner Opposition to NRC Staff Recommendation for License Transfer Approval.* W/Certificate of Svc ML20092K8701992-02-20020 February 1992 Petitioners Opposition to NRC Staff Recommendation for Approval of License Transfer.* Urges Commission to Reject NRC Recommendation in SECY-92-041 & Remand Matter for Consideration in Normal Proceeding.W/Certificate of Svc ML20091E2661992-02-20020 February 1992 Petitioner Opposition to NRC Staff Motion to Dismiss.* Petitioners Urge NRC to Deny Staff Motion or Defer Action Until Petitioners Have Fully Developed Petitions & Supplied Detailed Contentions.W/Certificate of Svc ML20091E4011992-02-18018 February 1992 Answer of Long Island Power Authority to NRC Staff Motion to Dismiss Intervention Petitions.* Util Urges NRC to Grant Motion & Dismiss Intervention Petitions.W/Certificate of Svc ML20091E3161992-02-13013 February 1992 Lilco Response to NRC Staff Motion to Dismiss Intervention Petitions on Decommissioning Plan.* Requests That Petitions Be Struck & Petitioners Be Instructed of Possible Dismissal.W/Certificate of Svc ML20091E2941992-02-0606 February 1992 Lilco Opposition to Petitioner Request for Hearing on Shoreham Decommissioning Plan.* Informs That Util Opposes Both Requests for Hearing.W/Certificate of Svc ML20091E2741992-02-0606 February 1992 Answer of Long Island Power Authority to Intervention Petitions Concerning Shoreham Decommissioning Plan.* Requests That Petitions for Leave & Requests for Hearing Be Denied.W/Certificate of Svc & Notice of Appearance ML20091E2811992-01-22022 January 1992 Scientists & Engineers for Secure Energy,Inc Petition for Leave to Intervene & Request for Prior Hearing.* Requests That Petition Be Granted & Hearing Be Held.W/Certificate of Svc & Notice of Appearance ML20091E2831992-01-22022 January 1992 Shoreham-Wading River Central School District Petition for Leave to Intervene & Request for Prior Hearing.* Requests That Petition for Leave Be Granted & Hearing Held. W/Certificate of Svc & Notice of Appearance ML20086T7231992-01-0303 January 1992 Motion of Long Island Power Authority for Leave to File Supplemental Matls.* Requests That Supplemental Memorandum & Supplemental Legislative History Matls Be Filed. W/Certificate of Svc ML20086Q9281991-12-30030 December 1991 Opposition of Util to Motion for Stay of License Transfer & to Suggestion of Mootness.* Concluded That Relief Sought in Petitioner Motion & Suggestion Should Be Denied. W/Certificate of Svc ML20086Q9171991-12-30030 December 1991 Lilco Opposition to Petitioners Request for Stay & Suggestion of Mootness.* Suggests That Stay Request & Suggestion of Mootness Be Denied.W/Certificate of Svc ML20091H8261991-12-19019 December 1991 Suggestion of Mootness Due to Long Island Power Authority Imminent Demise.* Concludes That If Commission Were to Transfer Shoreham Licenses to Lipa,Nrc Could Find Itself W/Class 103 Facility W/O Licensee.W/Certificate of Svc ML20091H8661991-12-18018 December 1991 Lilco Opposition to SE2 Appeal from LBP-91-26 & LBP-91-39. Concludes That Appeal Should Be Summarily Rejected or Be Denied on Merits.W/Certificate of Svc ML20086N1661991-12-17017 December 1991 Motion for Stay of License Transfer Pending Final Order on Petition to Intervene & Request for Hearing & for Addl or Alternative Stay.W/Certificate of Svc ML20086J3521991-12-0909 December 1991 Response of Long Island Power Authority to Petitioners Joint Supplemental Petition.* Board Should Dismiss Petitions to Intervene for Lack of Standing & Reject All Contentions Proffered by Petitioners.W/Certificate of Svc ML20086J6351991-12-0909 December 1991 Lilco Opposition to Petitioners Contentions on License Transfer Amend.* Concludes That License Transfer Amend Contentions Be Rejected & Petitioner Request to Intervene Denied.W/Certificate of Svc ML20091G2051991-12-0303 December 1991 Brief in Support of Appeal.* Commission Should Consider Appeal on Basis That Findings of Matl of Facts Clearly Erroneous.W/Certificate of Svc ML20086C5381991-11-18018 November 1991 Petitioner Joint Supplemental Petition.* Petition Includes List of Contentions to Be Litigated in Hearing Re License Transfer Application.W/Certificate of Svc ML20086C5471991-11-18018 November 1991 App to Joint Supplemental Petition of Shoreham-Wading River Central School District & Scientists/Engineers for Secure Energy,Inc.* ML20082G8971991-08-0909 August 1991 Lilco Responses to Petitioner Filings of 910805 & 06.* W/Certificate of Svc ML20082G8441991-08-0707 August 1991 Motion for Offical Notice to Correct Representation.* Moves Board to Take Official Notice of Encl NRC Records to Correct Representation Made at Prehearing Conference. W/Certificate of Svc ML20082G8571991-08-0707 August 1991 Petitioners Response to Lilco Re Physical Security Plan.* Petitioners Suggest That Util post-hearing Filing Does Not Dispose of Any Issue as to Util Compliance W/Settlement Agreement.W/Certificate of Svc ML20076D0721991-07-22022 July 1991 Petitioners First Emergency Motion for Stay.* Movants Urge Commission,In Interest of Justice,To Enjoin Lilco from Taking Any Actions Under possession-only License Which Might Moot Renewed Application for Stay.W/Certificate of Svc ML20076D1541991-07-22022 July 1991 Lilco Response to Petitioner Emergency Motions.* Believes Petitioner Emergency Motions Should Be Denied to End Frivolous Pleadings & Burdens of Time & Resources of Nrc. W/Certificate of Svc ML20076D0841991-07-21021 July 1991 Petitioners Second Emergency Motion for Stay.* Petitioners Urge Commission,Ex Parte,To Enjoin Lilco,From Any & All Acts W/Respect to Shoreham Which Would Be Inconsistent W/Nrc Representation in Court.W/Certificate of Svc ML20076D2071991-07-15015 July 1991 Lilco Opposition to Shoreham-Wading River Central School District (Swrcsd) Appeal from LBP-91-26.* Appeal Should Be Denied Due to Listed Reasons.W/Certificate of Svc ML20082D4051991-07-12012 July 1991 Lilco Opposition to SE-2s Contentions on Possession Only License Amend.* Concludes That Contentions Should Be Rejected & Request for Hearing on Possession Only License Amend Should Be Denied.W/Certificate of Svc ML20082D4001991-07-12012 July 1991 Movant-intervenors Motion for Change of Venue of Prehearing Conference.* Intervenors Request Change of Venue of 910730 Prehearing Conference from Hauppauge,Ny to Washington DC Area.W/Certificate of Svc ML20082D3891991-07-10010 July 1991 Lilco Support of NRC Staff Motion for Reconsideration of LBP-91-26.* for Reasons Listed,Nrc 910625 Motion Should Be Granted & Request for Hearing & Petition to Intervene in Amend Proceeding Should Be Denied.W/Certificate of Svc ML20082B4311991-07-0303 July 1991 Lilco Opposition to Petitioner Contentions on Confirmatory Order,Physical Security Plan & Emergency Preparedeness License Amends.* Petitioner Contentions Should Be Rejected & License Amends Denied.W/Certificate of Svc ML20082B3531991-07-0202 July 1991 Unopposed Motion for Variance in Svc Requirements.* Informs That Filing & Svc Requirements Presents No Obstacle to Filing W/Aslb or Svc Upon Any Parties.W/Certificate of Svc. Served on 910702.Granted for Licensing Board on 910702 ML20082B2461991-06-28028 June 1991 Movant-Intervenor Brief in Support Accompany Notice of Appeal.* School District Urges Commission to Reverse & Remand Dismissal Order W/Appropriate Guidance.W/Ceritifcate of Svc ML20082B2571991-06-28028 June 1991 Unopposed Motion for Variance in Svc Requirements.* Petitioners Urge ASLB to Grant Variance in Svc Procedures Requested to Allow Svc of Judge Ferguson.W/Certificate of Svc 1993-10-08
[Table view] |
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~CC Pl'I.:
. M EG.0M In the Matter of 7 LONG ISLAND LIGHTING COMPANY .f .
(Shoreham Nuclear Power Station, Unit 1)
Docket No. 50-322 l'
CERTIFICATE OF SERVICE I hereby certify that copies of:
J (1) Applicant's Request for Summary Disposition of Suffolk County's Contentions 4a(ii), (iii)
& (xvii), 12a(ii) , 17a(i)-(ii) , anc 20a(i)-(ii)
(2) Motion for Summary Disposition of SC Conten-tions 4a(ii), (iit) & (xvii) with three attached Affidavits of David J. Robare (3) Motion for Summary Disposition of SC Conten-tion 12a(ii) with attached Affidavit of Ronald E. Engel (4) Motion for Summnry Disposition of SC Conten-tions 17a(i)-(ii) with attached Affidavits of Wayne E. Kilker and Forochar Boorboor (5) Motion for Su= mary Disposition of SC Conten-tions 20a(i)-(ii) with two attached Affidavits of Forochar Boorboor were served upon the following by first-class mail, postage pre-paid, on February 5, 1979.
Elizabeth S. Bowers, Esq. Secretary of the Commission Atomic Safety and Licensing U.S. Nuclear Regulatory Commission Board Panel Washington, D.C. 20555 U.S. Nuclear Regulatory Commission Washington, D.C. 20555 Atomic Safety and Licensing Board Panel Mr. Frederick J. Shon U.S. Nuclear Regulatory Commission Atomic Safety and Licensing Washington, D.C. 20555 Board Panel U.S. Nuclear Regulatory Comnission Atomic Safety and Licensing Washington, D.C. 20555 Appeal Board
".S. Nuclear Regulatory Commissicn Dr. Oscar H. Paris 2shincton, D.C. 20555
~
Atomic Safety and Licensing U.S.BoardPaneb Richard K. Heefling, Esc, auclear xeculatory Commis s io: ,,uc, lear Regu atorv -
.. , n. . a washington, u. C.- c, C a a s_ - ~ ~
Commission Washington, D.C. 20555 99 0#09
, Jeffrey C. Cohen, Esq. Ralph Shapiro, Esq.
New York State Energy Office Cammer & Shapiro Swan Street Building - Core 1 9 East 40th Street
~hpire State Plaza New " -> New York 10016 Albany, New York 12223 Energy Research Group, Inc.
Howard L. Blau, Esq. 400 Totten Pond Road 217 Newbridge Road Waltham, Massachusetts, 02154 Ilicksville , New York 11801 Irving Like, Esq.
Reilly, Like, & Schneider 200 West Main Street Babylon, New York 11702
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- d. Si // st Tamrtu F. Case Whittemore Hunton & Williaus P.O. Box 1535 707 East Main Street Richmond, Virginia 23212 DATED: February 5, 1979
. 2/5/79 UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION Eefore the Atomic Safety and Licensinz Board In the Matter of )
)
LONG ISLAND LIGHTING COMPANY ) Docket No. 50-322
)
(Shoreham Nuclear Power Station, )
Unit 1) )
APPLICANT'S REQUEST FOR SUFDIARY DISPOSITION OF SUFFOLK COUNTY CONTENTIONS 4a(ii), (iii) & (xvii),
12a(ii). 17a(i)-(ii), and 20a(i)-(ii)
A. Introduction On December 18, 1978 the Applicant filed a recuest for summary disposition of certain Suffolk County (SC) contentions (Applicant's First Request). Page 9 of the Applicant's First Request indicated that LILCO would be filing motions for summary disposition of other SC contentions that are " ripe" for resolu-tion. The Applicant's motions for summary disposition of a second group of contentions are enclosed. See Part C below.
B. The Need for Early Summary Discosition Persists The Applicant's First Request analyzed the time required to complete the Shoreham operating license proceeding, including detailed schedules of the pre- and post-hearing phases. This analysis showed that if hearings are required on cost, if not all, of SC's pending contentions, the operating license proceed-ing may very well not be completed by the time the plant is ready to load fuel. Applicant's First Request at 5-9 The Applicant invited any other parties to this proceeding who did not share
our sense of urgency to explain why not in meaningful detail.
Id. at 1, 9.
After establishing the likelihood of scheduling diffi-culties if each of SC's pending contentions had to pass seria-tim through the discovery, particularization, and su= mary dis-position pre-hearing steps, the Applicant proposed a parallel process for treating the more well defined (or " ripe") conten-tions. Id. at 9-11. This process involves using summary dis-position under 10 CFR S 2.749 to start immediately to either resolve or particularize in one step as many of SC's contentions as possible. As a result, only the remainder of the contentions will have to go through the more time-consuming seriatim process.
The Staff's January 12, 1979 answer to Applicant's First Request (Staff's Answer) did not provide a detailed response to the Applicant's schedule analysis. The Staff just suggested that hearings of shorter duration than indicated in the Applicant's analysis were possible if most of SC's contentions were disposed of prior to hearings. We share the Staff's desire to resolve as many contentions as possible before hearings. We think that it is imprudent, however, not to plan to complete the prehearing phase sufficiently early so that adequate time remains to conduct hearings on the great bulk of the County's contentions, if neces-sary, without running the risk of delaying the fuel load date.
Accordingly, the Applicant is pursuing the one-step summary disposition process discussed above.
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In order to maximize the benefits cf the one-step pro-cess, the Applicant has not limited its summary dieposition fil-
t ings to just those contentions that have been accepted without qualification. Instead, it has included some of the more well defined contentions that have been accepted only for purposes of discovery. Contrary to the position taken on pages 3-4 of the Staff's Answer, the Board should allow the summary disposi-tion process co go forward in order to relieve the schedule difficulties discussed above. Moreover, even though the Staff technical personnel are fully occupied completing the Shoreham SER, a decision by the Board on Applicant's summary disposition motions need not await any further response by the Staff. This is because it is solely incumbent upon the County to indicate for each contention that its concerns have been resolved or to demonstrate why a genuine issue of fact remains to be litigated.
C. Second Group of Summarv Discosition Motions The following documents constitute the Applicant's second group of motions for summary disposition, filed pursuant to 10 CFR $ 2.749:
- a. Motion for Summary Disposition of SC Conten-tions 4a(ii), (iii) & (xvii) with three attached Affidavits of David J. Robare,
- b. Motion for Summary Disposition of SC Conten-tion 12a(ii) with attached Affidavit of Ronald E. Engel,
- c. Motion for Summary Disposition of SC Conten-tions 17a(i)-(ii) with attached Affidavits of Wayne E. Kilker and Forochar Boorboor, and
- d. Motion for Summary Disposition of SC Conten-tions 20a(i)-(ii) with two attached Affi-davits of Foroohar Boorboor-For the reasons stated in the foregoing materials, the Appli-
cant requests that SC contet tions 4a(ii), (iii) & (xvii), 12a (ii), 17a(i)-(ii), and 20a(i)-(ii) be dismissed because, as to each, "there is no genuine issue to be heard." 10 CFR S 2.749(a).
In the alternative, if the Board finds summary disposi-tion inappropriate as to any affected contention (in whole or part), the Applicant requests that the Board, after receiving the enclosed materials and SC's reply, (1) state the exact issue (s) to be litigated from among the contention (s) in ques-tion and (2) schedule hearings on these issue (s) to begin promptly and in conjunction with hearings on any issue from the Applicant's First Request.
Respectfully submi:ted, LONG ISIJ2TD LIGHTING COMPANY
-/ st F. Case '4hittemore W. Taylcr Reveley, III John B. Vinson, Esq.
Hunton & Williams P.O. Box 1535 Richmond, Virginia 23212 DATED: February 5, 1979