ML080380431: Difference between revisions

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| issue date = 01/24/2008
| issue date = 01/24/2008
| title = 2008/01/24 - Diablo Canyon - NRC Staff'S Unopposed Request for Extension of Time
| title = 2008/01/24 - Diablo Canyon - NRC Staff'S Unopposed Request for Extension of Time
| author name = Clark L B
| author name = Clark L
| author affiliation = NRC/OGC
| author affiliation = NRC/OGC
| addressee name =  
| addressee name =  
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and Vaughn index within seven days of the Staff's filing. Regarding Contention 2, as admitted, which concerns the Staff's consideration of non-fatal health effects and land contamination, the Commission established a schedule for discovery and a Subpart K hearing. According to the Commission's tentative schedule, discovery would be completed by February 29, 2008, and the parties would submit detailed written submission pursuant to 10 C.F.R. § 2.1113 by March 28, 2008. The Commission also provided for the designation of a presiding officer to keep discovery on schedule and resolve (continued. . .)
and Vaughn index within seven days of the Staff's filing. Regarding Contention 2, as admitted, which concerns the Staff's consideration of non-fatal health effects and land contamination, the Commission established a schedule for discovery and a Subpart K hearing. According to the Commission's tentative schedule, discovery would be completed by February 29, 2008, and the parties would submit detailed written submission pursuant to 10 C.F.R. § 2.1113 by March 28, 2008. The Commission also provided for the designation of a presiding officer to keep discovery on schedule and resolve (continued. . .)
1 Pacific Gas and Electric Co. (Diablo Canyon Power Plant Independent Spent Fuel Storage Installation),  discovery disputes. Thereafter, the administrative judge designated to preside over this case, E. Roy Hawkins, convened a conference call on Wednesday, January 23, 2008, to discuss the discovery schedule and his role in addressing responses to the Staff's reference document list and Vaughn index. Pursuant to the presiding officer's direction, the parties conferred on scheduling matters before the conference call and reached agreement on the time extensions requested herein and discussed below. On January 24, 2008, the presiding officer issued Scheduling and Management Order for Discovery summarizing the conference call and setting a tentative discovery schedule. The references relied on by the Staff in developing the environmental assessment include a substantial amount of sensitive security information. To maximize the amount of information made available to the parties the Staff will perform a detailed, line-by-line  review of each document in order to ensure that only information which is properly subject to a FOIA exemption is withheld. For security information, this review must be performed by Staff familiar with the underlying documents and with the NRC's processes and guidance on handling security information. Further, due to the extremely sensitive nature of the information, the importance of preventing inadvertent disclosure is enhanced and therefore requires substantial management oversight. Because of the limited number of individuals with the expertise to perform these reviews and the need to perform management and inter-office reviews to ensure consistency and accuracy of the redactions, the Staff respectfully requests an extension until February 13, 2008, to provide the list of reference documents, the Vaughn index and provide those portions not covered by a FOIA exemption to the other parties. As noted above, the other parties have been consulted and do not object to the Staff's request.
1 Pacific Gas and Electric Co. (Diablo Canyon Power Plant Independent Spent Fuel Storage Installation),  discovery disputes. Thereafter, the administrative judge designated to preside over this case, E. Roy Hawkins, convened a conference call on Wednesday, January 23, 2008, to discuss the discovery schedule and his role in addressing responses to the Staff's reference document list and Vaughn index. Pursuant to the presiding officer's direction, the parties conferred on scheduling matters before the conference call and reached agreement on the time extensions requested herein and discussed below. On January 24, 2008, the presiding officer issued Scheduling and Management Order for Discovery summarizing the conference call and setting a tentative discovery schedule. The references relied on by the Staff in developing the environmental assessment include a substantial amount of sensitive security information. To maximize the amount of information made available to the parties the Staff will perform a detailed, line-by-line  review of each document in order to ensure that only information which is properly subject to a FOIA exemption is withheld. For security information, this review must be performed by Staff familiar with the underlying documents and with the NRC's processes and guidance on handling security information. Further, due to the extremely sensitive nature of the information, the importance of preventing inadvertent disclosure is enhanced and therefore requires substantial management oversight. Because of the limited number of individuals with the expertise to perform these reviews and the need to perform management and inter-office reviews to ensure consistency and accuracy of the redactions, the Staff respectfully requests an extension until February 13, 2008, to provide the list of reference documents, the Vaughn index and provide those portions not covered by a FOIA exemption to the other parties. As noted above, the other parties have been consulted and do not object to the Staff's request.
2                                                                                                                                                                          
2
(. . .continued)  
(. . .continued)
(continued. . .)
(continued. . .)
CLI-08-01, 66 NRC ___.
CLI-08-01, 66 NRC ___.
2 Counsel for SLOMFP has represented that she intends to file a responsive motion addressing the impact of the Staff's request on the discovery deadline established by the Commission. While the Staff recognizes the possibility that events may at some point necessitate a change in the discovery schedule,                                                                                                                                                                              As provided by the Commission's Order, the other parties will be afforded the opportunity to respond to the Staff's filing. As noted in the presiding officer's scheduling order, the parties and the presiding officer have interpreted the Commission Order to mean that the Commission will rule on any responses or, if not, explicitly direct the presiding officer to do so. As requested by the presiding officer, the Staff wishes to raise this matter to the Commission's attention in the event that our understanding is incorrect. Regarding the deadline for written submissions to the Commission, the Staff's primary expert witness for Contention 2 is expected to undergo surgery late in February which will necessitate a recovery period of up to four weeks. Given these circumstances, the Staff respectfully requests an extension of the deadline for the filing of written submissions until April 14, 2008. The other parties have been consulted and do not object to the Staff's request,     
2 Counsel for SLOMFP has represented that she intends to file a responsive motion addressing the impact of the Staff's request on the discovery deadline established by the Commission. While the Staff recognizes the possibility that events may at some point necessitate a change in the discovery schedule,                                                                                                                                                                              As provided by the Commission's Order, the other parties will be afforded the opportunity to respond to the Staff's filing. As noted in the presiding officer's scheduling order, the parties and the presiding officer have interpreted the Commission Order to mean that the Commission will rule on any responses or, if not, explicitly direct the presiding officer to do so. As requested by the presiding officer, the Staff wishes to raise this matter to the Commission's attention in the event that our understanding is incorrect. Regarding the deadline for written submissions to the Commission, the Staff's primary expert witness for Contention 2 is expected to undergo surgery late in February which will necessitate a recovery period of up to four weeks. Given these circumstances, the Staff respectfully requests an extension of the deadline for the filing of written submissions until April 14, 2008. The other parties have been consulted and do not object to the Staff's request,     


Respectfully submitted,  /RA/  Lisa B. Clark      Counsel for the NRC Staff Dated at Rockville, Maryland this 24 th day of January, 2008  
Respectfully submitted,  /RA/  Lisa B. Clark      Counsel for the NRC Staff Dated at Rockville, Maryland this 24 th day of January, 2008
  (. . .continued) it would be premature at this juncture to presume that the tentative schedule set by the presiding officer -
(. . .continued) it would be premature at this juncture to presume that the tentative schedule set by the presiding officer -
which contemplates completion by the Commission's deadline - cannot be met.   
which contemplates completion by the Commission's deadline - cannot be met.   


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Name: Molly L. Barkman Address: U.S. Nuclear Regulatory Commission Office of the General Counsel  
Name: Molly L. Barkman Address: U.S. Nuclear Regulatory Commission Office of the General Counsel  


Mail Stop: O-15-D21 Washington, D.C. 20555-0001 Telephone Number: (301) 415-1117 Fax Number:  
Mail Stop: O-15-D21 Washington, D.C. 20555-0001 Telephone Number: (301) 415-1117 Fax Number:
(301) 415-3725 E-Mail address:
(301) 415-3725 E-Mail address:
mlb9@nrc.gov Admissions:    Commonwealth of Pennsylvania Name of Party:
mlb9@nrc.gov Admissions:    Commonwealth of Pennsylvania Name of Party:

Revision as of 15:01, 12 July 2019

2008/01/24 - Diablo Canyon - NRC Staff'S Unopposed Request for Extension of Time
ML080380431
Person / Time
Site: Diablo Canyon  Pacific Gas & Electric icon.png
Issue date: 01/24/2008
From: Lisa Clark
NRC/OGC
To:
Atomic Safety and Licensing Board Panel
Lisa Clark
References
72-26-ISFSI, ASLBP 08-860-01-ISFSI-BD01, RAS 14954
Download: ML080380431 (6)


Text

UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE COMMISSION In the Matter of ) )

PACIFIC GAS AND ELECTRIC COMPANY ) Docket No. 72-26-ISFSI

) ASLBP No. 08-860-01-ISFSI-BD01 (Diablo Canyon Power Plant Independent )

Spent Fuel Storage Installation) )

NRC STAFF=S UNOPPOSED REQUEST FOR EXTENSION OF TIME On January 15, 2008, the Commission issued an Order admitting limited portions of two contentions proferred by San Luis Obispo Mothers for Peace (SLOMFP) and setting a tentative schedule for further Commission consideration and proceedings.

1 For the admitted portion of Contention 1(b), which relates to the Staff's listing of source documents, the Commission directed the Staff to file with the Commission a complete list of documents on which it relied in preparing the environmental assessment, together with a Vaughn index for any documents for which the Staff claims a FOIA exemption, and to make available to the other parties any documents or portions thereof not covered by a FOIA exemption by February 29, 2008.

Id. at 30. Pursuant to the Order, the other parties are permitted to respond to the Staff's document list

and Vaughn index within seven days of the Staff's filing. Regarding Contention 2, as admitted, which concerns the Staff's consideration of non-fatal health effects and land contamination, the Commission established a schedule for discovery and a Subpart K hearing. According to the Commission's tentative schedule, discovery would be completed by February 29, 2008, and the parties would submit detailed written submission pursuant to 10 C.F.R. § 2.1113 by March 28, 2008. The Commission also provided for the designation of a presiding officer to keep discovery on schedule and resolve (continued. . .)

1 Pacific Gas and Electric Co. (Diablo Canyon Power Plant Independent Spent Fuel Storage Installation), discovery disputes. Thereafter, the administrative judge designated to preside over this case, E. Roy Hawkins, convened a conference call on Wednesday, January 23, 2008, to discuss the discovery schedule and his role in addressing responses to the Staff's reference document list and Vaughn index. Pursuant to the presiding officer's direction, the parties conferred on scheduling matters before the conference call and reached agreement on the time extensions requested herein and discussed below. On January 24, 2008, the presiding officer issued Scheduling and Management Order for Discovery summarizing the conference call and setting a tentative discovery schedule. The references relied on by the Staff in developing the environmental assessment include a substantial amount of sensitive security information. To maximize the amount of information made available to the parties the Staff will perform a detailed, line-by-line review of each document in order to ensure that only information which is properly subject to a FOIA exemption is withheld. For security information, this review must be performed by Staff familiar with the underlying documents and with the NRC's processes and guidance on handling security information. Further, due to the extremely sensitive nature of the information, the importance of preventing inadvertent disclosure is enhanced and therefore requires substantial management oversight. Because of the limited number of individuals with the expertise to perform these reviews and the need to perform management and inter-office reviews to ensure consistency and accuracy of the redactions, the Staff respectfully requests an extension until February 13, 2008, to provide the list of reference documents, the Vaughn index and provide those portions not covered by a FOIA exemption to the other parties. As noted above, the other parties have been consulted and do not object to the Staff's request.

2

(. . .continued)

(continued. . .)

CLI-08-01, 66 NRC ___.

2 Counsel for SLOMFP has represented that she intends to file a responsive motion addressing the impact of the Staff's request on the discovery deadline established by the Commission. While the Staff recognizes the possibility that events may at some point necessitate a change in the discovery schedule, As provided by the Commission's Order, the other parties will be afforded the opportunity to respond to the Staff's filing. As noted in the presiding officer's scheduling order, the parties and the presiding officer have interpreted the Commission Order to mean that the Commission will rule on any responses or, if not, explicitly direct the presiding officer to do so. As requested by the presiding officer, the Staff wishes to raise this matter to the Commission's attention in the event that our understanding is incorrect. Regarding the deadline for written submissions to the Commission, the Staff's primary expert witness for Contention 2 is expected to undergo surgery late in February which will necessitate a recovery period of up to four weeks. Given these circumstances, the Staff respectfully requests an extension of the deadline for the filing of written submissions until April 14, 2008. The other parties have been consulted and do not object to the Staff's request,

Respectfully submitted, /RA/ Lisa B. Clark Counsel for the NRC Staff Dated at Rockville, Maryland this 24 th day of January, 2008

(. . .continued) it would be premature at this juncture to presume that the tentative schedule set by the presiding officer -

which contemplates completion by the Commission's deadline - cannot be met.

UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE COMMISSION In the Matter of ) ) PACIFIC GAS & ELECTRIC CO. ) Docket No. 72-26-ISFSI ) (Diablo Canyon Power Plant Independent ) ASLBP No. 08-860-01-ISFSI-BD01 Spent Fuel Storage Installation) ) NOTICE OF APPEARANCE Notice is hereby given that the undersigned attorney herewith enters an appearance in the captioned matter in accordance with 10 C.F.R.

' 2.314(b).

Name: Molly L. Barkman Address: U.S. Nuclear Regulatory Commission Office of the General Counsel

Mail Stop: O-15-D21 Washington, D.C. 20555-0001 Telephone Number: (301) 415-1117 Fax Number:

(301) 415-3725 E-Mail address:

mlb9@nrc.gov Admissions: Commonwealth of Pennsylvania Name of Party:

NRC Staff Respectfully submitted,

/RA/

Molly L. Barkman Counsel for the NRC Staff Dated at Rockville, Maryland this 24 th day of January, 2008.

UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE COMMISSION In the Matter of ) ) PACIFIC GAS & ELECTRIC CO. ) Docket No. 72-26-ISFSI ) (Diablo Canyon Power Plant Independent ) ASLBP No. 08-860-01-ISFSI-BD01 Spent Fuel Storage Installation) )

CERTIFICATE OF SERVICE

I hereby certify that copies of "NRC STAFF'S UNOPPOSED REQUEST FOR EXTENSION OF TIME" and "NOTICE OF APPEARANCE" in the above-captioned proceedings have been served on the following by deposit in the United States mail; through deposit in the Nuclear Regulatory Commission's internal system as indicated by an asterisk (*), and by electronic mail as indicated by a double asterisk (**) on this 24 TH day of January, 2008..

E. Roy Hawkens * **

Chief Administrative Judge Atomic Safety and Licensing Board U.S. Nuclear Regulatory Commission Mail Stop: T 3-F23

Office of the Secretary

  • ** ATTN: Rulemakings and Adjudication Staff U.S. Nuclear Regulatory Commission Mail Stop: O-16G4 Washington, D.C. 20555 E-mail: HEARINGDOCKET@nrc.gov

Office of Commission Appellate Adjudication * **

U.S. Nuclear Regulatory Commission

Mail Stop: O-16G4 Washington, D.C. 20555

E-mail: OCAAMAIL@nrc.gov

Diane Curran, Esq. **

Harmon Curran Spielberg & Eisenberg, LLP 1726 M Street N.W., Suite 600 Washington, D.C. 20036 E-mail: dcurran@harmoncurran.com

David A. Repka, Esq. **

Tyson R. Smith, Esq.

Winston & Strawn 1400 L. Street, N.W.

Washington, D.C. 20005-3502

E-mail: drepka@winston.com trsmith@winston.com San Luis Obispo Mothers for Peace * ** P.O. Box 164

Pismo Beach, CA 93448

E-mail: beckers@thegrid.net jzk@charter.net

Jennifer Post **

Pacific Gas and Electric Co.

77 Beale Street, B30A San Francisco, CA 94105

E-mail: JLKm@pge.com

Erica LaPlante, Law Clerk * ** Atomic Safety and Licensing Board U.S. Nuclear Regulatory Commission

Mail Stop: T 3-F23 Washington, D.C. 20555

/RA/ ___________________

Lisa B. Clark Counsel for the NRC Staff