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{{#Wiki_filter:March 22, 2012 UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD
{{#Wiki_filter:March 22, 2012 UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of                                          )
                                                          )
ENTERGY NUCLEAR OPERATIONS, INC.                          )      Docket Nos. 50-247-LR/286-LR
                                                          )
(Indian Point Nuclear Generating                          )
Units 2 and 3)                                    )
NRC STAFFS MOTION FOR PARTIAL RECONSIDERATION AND/OR CLARIFICATION OF THE BOARDS ORDER OF MARCH 16, 2012 Pursuant to 10 C.F.R. § 2.323(c), the NRC Staff (Staff) hereby requests that the Atomic Safety and Licensing Board (Board) reconsider and/or clarify, in part, the Boards Order (Granting in Part and Denying in Part State of New York and Riverkeepers Motion to Compel (Order), issued on March 16, 2012, to the extent that the Board established a schedule for litigation of all portions of Contention NYS-38/RK-TC-5. In support of this request, the Staff states as follows:
: 1.      In its Order of March 16, 2012, the Board resolved the motion to compel which had been filed by the State of New York (New York) and Riverkeeper, Inc. (Riverkeeper)
(collectively, Intervenors), seeking additional document disclosures by the Staff.1 The Staff does not seek reconsideration or clarification of the Boards ruling on that motion.
1 In accordance with the Boards Order, the Staff and its consultants are again reviewing the documents in their possession, to determine if any documents must be disclosed that have not been disclosed already. In the event that additional documents are identified, they will be filed as evidentiary exhibits along with the Staffs testimony and/or placed in the hearing file, as appropriate.
: 2. In addition, the Boards Order established a schedule for the filing of evidentiary presentations on Contention NYS-38/RK-TC-5 (Order at 12) by the Intervenors, Staff, and Entergy Nuclear Operations, Inc. (Entergy or Applicant), stating as follows:
Because we have resolved the discovery dispute regarding NYS-38/RK-TC-5, we lay out the following schedule for evidentiary submissions relating to this contention in order to bring the contention in line with the other contentions on track for the first round of the evidentiary hearing in this proceeding:
: 1. New York and Riverkeeper shall have forty-five (45) days after issuance of this Order to present their evidentiary submissions on this contention (April 30, 2012).
: 2. Entergy and the NRC Staff shall have thirty (30) days thereafter to present their evidentiary submission on this contention.
: 3. New York and Riverkeeper shall have ten (10) days thereafter to present their revised or rebuttal testimony on this contention.
: 4. All subsequent steps pursuant to the Boards July 1, 2010 Scheduling Order shall resume and follow the track and timing for other pending contentions in the first round of the evidentiary hearing.
Id.; emphasis added.
: 3. As the Board has recognized, Contention NYS-38/RK-TC-5 broadly contend[s],
relying on multiple bases, that Entergys new commitments do not meet NRC regulations for having a program that will adequately manage the effects of aging during the period of extended operations.2 As the Board further recognized, the Intervenors presented four bases in support of this contention:
These bases are that Entergy (1) has deferred defining the methods used for determining the most limiting locations for metal fatigue calculations and the selection of those locations; (2) has not specified the criteria it will use and assumptions upon which it will rely for modifying the WESTEMS computer model for environmentally adjusted cumulative usage factors (CUFen) calculations; (3) has not adequately defined how it will manage 2
Memorandum and Order (Admitting New Contention NYS-38/RK-TC-5) (Nov. 10, 2011), at 10.


In the Matter of    )
primary water stress corrosion cracking (PWSCC) because it will not begin inspections until after entering the period of extended operations and Entergy has substituted a document, which will not be released until 2013, for its prior water chemistry program to manage PWSCC of the nickel alloy or nickel-alloy clad steam generator divider plates exposed to reactor coolant; and (4) does not adequately describe the contents of its AMP for reactor vessel internals, based on a revised version of the Materials Reliability Program 227 (MRP-227) guidance document.3
      )
: 4.       Thus, as reflected in the Boards Order admitting Contention NYS-38/RK-TC-5, in litigating this contention the parties must address an issue related to the Applicants aging management program (AMP) for reactor vessel internals - which is also the subject of Contention NYS-25 (Reactor Vessel Internals).
ENTERGY NUCLEAR OPERATIONS, INC.  ) Docket Nos. 50-247-LR/286-LR
: 5.       The Board has previously deferred litigation of Contention NYS-25,4 in light of the Staffs reported determination that it will be unable to submit its evidentiary presentations on Contention NYS-25 until it has completed its review of additional information that it expected to receive from the Applicant on February 17, 2012, concerning its AMP for reactor vessel internals under the revised version of MRP 227.5
      )
: 6.       As stated in the Staffs March 1 Status Report, Entergy submitted the additional information concerning its Reactor Vessel Internals AMP and Inspection Plan, on February 17, 2012. As also stated in the Staff status report, the Staff is reviewing the information and has 3
(Indian Point Nuclear Generating    )
Id. at 10-11 n.47; emphasis added, citation omitted.
Units 2 and 3)    )
4 Order (Granting NRC Staffs Unopposed Time Extension Motion and Directing the Filing of Status Updates) (Feb. 16, 2012), at 2.
 
5 See (1) NRC Staffs Status Report in Response to the Atomic Safety and Licensing Boards Order of February 16, 2012 (March 1, 2012), at 1-2 (March 1 Status Report); (2) NRC Staffs Statement in Response to the Atomic Safety and Licensing Boards Order of February 3, 2012 (Feb. 8, 2012), at 3; (3) NRC Staffs Unopposed Motion for Extension of Time for the Filing of Testimony, Exhibits and Statements of Position (Feb. 2, 2012), at 3; and (4) Letter from Sherwin E. Turk to the Board (Jan.
NRC STAFF'S MOTION FOR PARTIAL RECONSIDERATION AND/OR CLARIFICATION OF THE BOARD'S ORDER OF MARCH 16, 2012 Pursuant to 10 C.F.R. § 2.323(c), the NRC Staff ("Staff") hereby requests that the Atomic Safety and Licensing Board ("Board") reconsider and/or clarify, in part, the Board's "Order (Granting in Part and Denying in Part State of New York and Riverkeeper's Motion to Compel"
27, 2012).
 
("Order"), issued on March 16, 2012, to the extent that the Board established a schedule for
 
litigation of all portions of Contention NYS-38/RK-TC-5. In support of this request, the Staff
 
states as follows: 1. In its Order of March 16, 2012, the Board resolved the motion to compel which had been filed by the State of New York ("New York") and Riverkeeper, Inc. ("Riverkeeper")
(collectively, "Intervenors"), seeking additional document disclosures by the Staff.
1  The Staff does not seek reconsideration or clarification of the Board's ruling on that motion.
1  In accordance with the Board's Order, the Staff and its consultants are again reviewing the documents in their possession, to determine if any documents must be di sclosed that have not been disclosed already. In the event that additional document s are identified, they w ill be filed as evidentiary exhibits along with the Staff's testimony and/or placed in the hearing file, as appropriate.
: 2. In addition, the Board's Order established a schedule for the filing of evidentiary presentations on Contention NYS-38/RK-TC-5 (Order at 12) by the Intervenors, Staff, and
 
Entergy Nuclear Operations, Inc. ("Entergy" or "Applicant"), stating as follows:
Because we have resolved the discovery dispute regarding NYS-38/RK-TC-5 , we lay out the following schedule for evidentiary submissions relating to this contention in order to bring the
 
contention in line with the other contentions on track for the first
 
round of the evidentiary hearing in this proceeding:
: 1. New York and Riverkeeper shall have forty-five (45) days after issuance of this Order to present their evidentiary
 
submissions on this contention (April 30, 2012).
: 2. Entergy and the NRC Staff shall have thirty (30) days thereafter to present their evidentiary submission on this
 
contention.
: 3. New York and Riverkeeper shall have ten (10) days thereafter to present their revised or rebuttal testimony on this
 
contention.
: 4. All subsequent steps pursuant to the Board's July 1, 2010 Scheduling Order shall resume and follow the track and
 
timing for other pending contentions in the first round of the
 
evidentiary hearing.
Id.; emphasis added. 3. As the Board has recognized, Contention NYS-38/RK-TC-5 "broadly contend[s], relying on multiple bases, that Entergy's new commitments do not meet NRC regulations for
 
having a program that will adequately manage the effects of aging during the period of extended
 
operations."
2  As the Board further recognized, the Intervenors presented four bases in support of this contention:
These bases are that Entergy (1) has deferred defining the methods used for determining the most limiting locations for metal
 
fatigue calculations and the selection of those locations; (2) has
 
not specified the criteria it will use and assumptions upon which it
 
will rely for modifying the WESTEMS computer model for environmentally adjusted cumulative usage factors (CUFen)
 
calculations; (3) has not adequately defined how it will manage 2  "Memorandum and Order (Admitting New Cont ention NYS-38/RK-TC-5)" (Nov. 10, 2011), at
: 10.
primary water stress corrosion cracking (PWSCC) because it will not begin inspections until after entering the period of extended  
 
operations and Entergy has substituted a document, which will not  
 
be released until 2013, for its prior water chemistry program to  
 
manage PWSCC of the nickel alloy or nickel-alloy clad steam  
 
generator divider plates exposed to reactor coolant; and (4) does not adequately describe the contents of its AMP for reactor vessel internals, based on a revised version of the Materials Reliability Program 227 (MRP-227) guidance document.
3
: 4. Thus, as reflected in the Board's Order admitting Contention NYS-38/RK-TC-5, in litigating this contention the parties must address an issue related to the Applicant's aging  
 
management program ("AMP") for reactor vessel internals - which is also the subject of  
 
Contention NYS-25 (Reactor Vessel Internals). 5. The Board has previously deferred litigation of Contention NYS-25, 4 in light of the Staff's reported determination that it will be unable to submit its evidentiary presentations on  
 
Contention NYS-25 until it has completed its review of additional information that it expected to  
 
receive from the Applicant on February 17, 2012, concerning its AMP for reactor vessel  
 
internals under the revised version of MRP 227.
6. As stated in the Staff's March 1 Status Report, Entergy submitted the additional information concerning its Reactor Vessel Internals AMP and Inspection Plan, on February 17, 2012. As also stated in the Staff' status report, the Staff is reviewing the information and has 3 Id. at 10-11 n.47; emphasis added, citation omitted.
4 "Order (Granting NRC Staff's Unopposed Time Extension Motion and Directing the Filing of Status Updates)" (Feb. 16, 2012), at 2.
5 See (1) "NRC Staff's Status Report in Response to the Atomic Safety and Licensing Board's Order of February 16, 2012" (March 1, 2012), at 1-2 ("March 1 Status Report"); (2) "NRC Staff's Statement in Response to the Atomic Safety and Li censing Board's Order of February 3, 2012 (Feb. 8, 2012), at 3; (3) "NRC Staff's Unopposed Motion for Extensi on of Time for the Filing of Testimony, Exhibits and Statements of Position" (Feb. 2, 2012), at 3; and (4) Letter from Sherwin E. Turk to the Board (Jan.
27, 2012).


determined that it will be unable to file its testimony on this issue until it completes its review -
determined that it will be unable to file its testimony on this issue until it completes its review -
which, the Staff reported, would affect the litigation of Contention NYS-38/RKTC-5:
which, the Staff reported, would affect the litigation of Contention NYS-38/RKTC-5:
By letter dated February 17, 2012, Entergy submitted that additional information to the Staff. The Staff is currently reviewing  
By letter dated February 17, 2012, Entergy submitted that additional information to the Staff. The Staff is currently reviewing that information, and has determined that it is not able to file its testimony and state its position on Contention NYS-25 (Reactor Vessel Internals) at this time. The Staff will provide further information to the Board concerning this matter as soon as it is able to do so. As stated in the Staffs Statement of February 8, 2012, the Staff believes that a deferral of the Staffs filings on Contention NYS-25 would not affect the litigation of any admitted contention other than Contention NYS-25 and Contention NYS-38/RK TC-5 (presently deferred).6
 
: 7.       The Staff has determined to issue a request for additional information (RAI), to seek further information from Entergy concerning its AMP for reactor vessel internals. The Staff presently expects to issue that RAI in April 2012. Depending upon Entergys responses, it is possible that the Staff will be able to take a position on this issue this summer; however, the Staff is unable to take a position now on this portion of Contention NYS-38/RK TC-5. Further, although the Staff cannot predict how other parties positions on this contention may be affected by Entergys response to the RAI, it is conceivable that their positions could be affected as well.
that information, and has determined that it is not able to file its  
: 8.       Accordingly, the Staff hereby requests that the Board modify the schedule for submission of evidentiary presentations on Contention NYS-38/RK TC-5 to defer the filing of evidentiary submissions on this contention insofar as it involves issues concerning Entergys AMP for reactor vessel internals, until litigation resumes on related Contention NYS-25.
 
6 March 1 Status Report, at 1-2; emphasis added. See also NRC Staffs Statement in Response to the Atomic Safety and Licensing Boards Order of February 3, 2012 (Feb. 8, 2012), at 2 ¶ 3(b) (If the Staff determines that it requires additional information from Entergy regarding its submittal, the Staff may find it necessary to defer filing its testimony and statement of position on Contention NYS-25 pending completion of its review of that matter; a deferral of the Staffs filings on Contention NYS-25 would not affect the litigation of any admitted contention other than Contention NYS-25 and Contention NYS-38/RKTC-5 (presently deferred).
testimony and state its position on Contention NYS-25 (Reactor  
: 9.       In accordance with 10 C.F.R. § 2.323(b), Staff Counsel has contacted Counsel for New York, Riverkeeper, Clearwater, and Entergy. Counsel for New York, Riverkeeper and Entergy have authorized the Staff to state that those parties do not oppose the Staffs request; Counsel for Clearwater was not available as of the time of filing this motion.
 
WHEREFORE, the Staff respectfully requests that the Board reconsider and/or clarify its Order of March 16, 2012, to the extent that the Board established a schedule for litigation of Reactor Vessel Internals issues in Contention NYS-38/RK-TC-5.
Vessel Internals) at this time. The Staff will provide further  
Respectfully submitted,
 
                                                    /Signed (electronically) by/
information to the Board concerning this matter as soon as it is  
Sherwin E. Turk Counsel for NRC Staff U.S. Nuclear Regulatory Commission Office of the General Counsel Mail Stop - O-15D21 Washington, DC 20555 Telephone: (301) 415-1533 E-mail: sherwin.turk@nrc.gov Dated at Rockville, Maryland this 22nd day of March 2012
 
able to do so. As stated in the Staff's Statement of February 8, 2012, the Staff believes that a deferral of the Staff's filings on  
 
Contention NYS-25 would not affect the litigation of any admitted contention other than Contention NYS-25 and Contention NYS-38/RK TC-5 (presently deferred)
.6 7. The Staff has determined to issue a request for additional information ("RAI"), to seek further information from Entergy concerning its AMP for reactor vessel internals. The Staff  
 
presently expects to issue that RAI in April 2012. Depending upon Entergy's responses, it is  
 
possible that the Staff will be able to take a position on this issue this summer; however, the  
 
Staff is unable to take a position now on this portion of Contention NYS-38/RK TC-5. Further, although the Staff cannot predict how other parties' positions on this contention may be affected  
 
by Entergy's response to the RAI, it is conceivable that their positions could be affected as well. 8. Accordingly, the Staff hereby requests that the Board modify the schedule for submission of evidentiary presentations on Cont ention NYS-38/RK TC-5 to defer the filing of evidentiary submissions on this contention insofar as it involves issues concerning Entergy's
 
AMP for reactor vessel internals, until litigation resumes on related Contention NYS-25.
6 March 1 Status Report, at 1-2; emphasis added.
See also "NRC Staff's Statement in Response to the Atomic Safety and Licensing Board' s Order of February 3, 2012" (Feb. 8, 2012), at 2 ¶ 3(b) ("If the Staff determines that it requires additional information from Entergy regarding its submittal, the Staff may find it necessary to defer filing its testimony and statement of position on Contention NYS-25 pending completion of its review of that matter; a deferral of the Staff's filings on Contention NYS-25 would not affect the litigation of any admitted contention other than Cont ention NYS-25 and Contention NYS-38/RKTC-5 (presently deferred)."
: 9. In accordance with 10 C.F.R. § 2.323(b), Staff Counsel has contacted Counsel for New York, Riverkeeper, Clearwater, and Ente rgy. Counsel for New York, Riverkeeper and Entergy have authorized the Staff to state that those parties do not oppose the Staff's request;  
 
Counsel for Clearwater was not available as of the time of filing this motion.
WHEREFORE, the Staff respectfully requests that the Board reconsider and/or clarify its Order of March 16, 2012, to the extent that the Board established a schedule for litigation of  
 
Reactor Vessel Internals issues in Contention NYS-38/RK-TC-5.       Respectfully submitted,        /Signed (electronically) by/
 
Sherwin E. Turk        Counsel for NRC Staff U.S. Nuclear Regulatory Commission Office of the General Counsel Mail Stop - O-15D21 Washington, DC  20555 Telephone:  (301) 415-1533 E-mail:
sherwin.turk@nrc.gov
 
Dated at Rockville, Maryland
 
this 22 nd day of March 2012
 
CERTIFICATION OF COUNSEL
 
Pursuant to 10 C.F.R. § 2.323(b), the undersigned attorney hereby certifies that he has made a sincere effort to contact the other parties to this proceeding (Entergy, New York, Clearwater, and Riverkeeper), to resolve the issues raised in this Motion, and that his efforts to
 
resolve this issue have been successful, in part.
 
Respectfully submitted,  
        /Signed (electronically) by/
 
Sherwin E. Turk       Counsel for NRC Staff U.S. Nuclear Regulatory Commission Office of the General Counsel Mail Stop - O-15D21 Washington, DC 20555 Telephone: (301) 415-1533 E-mail:
sherwin.turk@nrc.gov
 
Dated at Rockville, Maryland  
 
this 22 nd day of March 2012 UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD
 
In the Matter of    )
      )
ENTERGY NUCLEAR OPERATIONS, INC. )  Docket Nos. 50-247/286-LR ) (Indian Point Nuclear Generating  ) Units 2 and 3)    )
 
CERTIFICATE OF SERVICE
 
I hereby certify that copies of the foregoing "NRC STAFF'S MOTION FOR PARTIAL
 
RECONSIDERATION AND/OR CLARIFICATION OF THE BOARD'S ORDER OF MARCH 16, 2012," dated March 22, 2012, in the above-captioned proceeding have been served on the
 
following by Electronic Information Exchange this 22 nd day of March, 2012.
 
Lawrence G. McDade, Chair
 
Atomic Safety and Licensing Board Panel
 
Mail Stop - T-3 F23
 
U.S. Nuclear Regulatory Commission
 
Washington, D.C. 20555-0001
 
E-mail: Lawrence.McDade@nrc.gov Office of Commission Appellate Adjudication
 
U.S. Nuclear Regulatory Commission
 
Mail Stop: O-16G4
 
Washington, DC 20555-0001
 
E-mail: OCAAMAIL.resource@nrc.gov Dr. Richard E. Wardwell
 
Atomic Safety and Licensing Board Panel
 
Mail Stop - T-3 F23
 
U.S. Nuclear Regulatory Commission
 
Washington, D.C. 20555-0001
 
E-mail: Richard.Wardwell@nrc.gov Office of the Secretary Attn: Rulemaking and Adjudications Staff
 
Mail Stop: O-16G4
 
U.S. Nuclear Regulatory Commission
 
Washington, DC 20555-0001
 
E-mail: Hearing.Docket@nrc.gov Dr. Kaye D. Lathrop
 
Atomic Safety and Licensing Board Panel
 
190 Cedar Lane E.
 
Ridgway, CO  81432
 
E-mail: Kaye.Lathrop@nrc.gov Josh Kirstein, Esq.
Anne Siarnacki, Esq. 
 
Atomic Safety and Licensing Board Panel
 
Mail Stop - T-3  F23
 
U. S, Nuclear Regulatory Commission
 
Washington, D.C. 20555-0001
 
E-mail: Josh.Kirstein@nrc.gov E-mail: Anne.Siarnacki@nrc.gov
 
Atomic Safety and Licensing Board Panel U.S. Nuclear Regulatory Commission
 
Mail Stop: T-3 F23
 
Washington, DC 20555-0001
 
Melissa-Jean Rotini, Esq.
Assistant County Attorney 
 
Office of Robert F. Meehan, Esq.
 
Westchester County Attorney 
 
148 Martine Avenue, 6th Floor 
 
White Plains, NY 10601
 
E-mail: MJR1@westchestergov.com Kathryn M. Sutton, Esq.
 
Paul M. Bessette, Esq.
 
Jonathan Rund, Esq.
 
Raphael Kuyler, Esq.
 
Morgan, Lewis & Bockius, LLP
 
1111 Pennsylvania Avenue, NW
 
Washington, D.C. 20004
 
E-mail: ksutton@morganlewis.com E-mail: pbessette@morganlewis.com E-mail: jrund@morganlewis.com E-mail: rkuyler@morganlewis.com John J. Sipos, Esq.
Charlie Donaldson, Esq.
 
Assistants Attorney General
 
New York State Department of Law
 
Environmental Protection Bureau
 
The Capitol
 
Albany, NY 12224
 
E-mail: John.Sipos@ag.ny.gov Martin J. O'Neill, Esq.
 
Morgan, Lewis & Bockius, LLP
 
1000 Louisiana Street, Suite 4000 Houston, TX  77002 E-mail: martin.o'neill@morganlewis.com
 
Elise N. Zoli, Esq.
 
Goodwin Procter, LLP
 
Exchange Place
 
53 State Street 
 
Boston, MA 02109
 
E-mail: ezoli@goodwinprocter.com
 
Janice A. Dean, Esq.
Assistant Attorney General, Office of the Attorney General 
 
of the State of New York
 
120 Broadway, 25 th Floor New York, NY  10271
 
E-mail:  Janice.Dean@ag.ny.gov
 
Joan Leary Matthews, Esq.
 
Senior Attorney for Special Projects
 
New York State Department of
 
Environmental Conservation
 
Office of the General Counsel
 
625 Broadway, 14 th Floor Albany, NY 12233-1500
 
E-mail: jlmatthe@gw.dec.state.ny.us William C. Dennis, Esq.
 
Assistant General Counsel
 
Entergy Nuclear Operations, Inc.
 
440 Hamilton Avenue
 
White Plains, NY 10601
 
E-mail: wdennis@entergy.com John Louis Parker, Esq.
Office of General Counsel, Region 3
 
New York State Department of
 
Environmental Conservation
 
21 South Putt Corners Road
 
New Paltz, NY  12561-1620
 
E-mail:  jlparker@gw.dec.state.ny.us
 
Daniel E. O'Neill, Mayor James Seirmarco, M.S.
 
Village of Buchanan
 
Municipal Building
 
Buchanan, NY 10511-1298 E-mail: vob@bestweb.net E-mail: smurray@villageofbuchanan.com Manna Jo Greene Karla Raimundi
 
Hudson River Sloop Clearwater, Inc.
 
724 Wolcott Avenue
 
Beacon, NY 12508
 
E-mail: mannajo@clearwater.org E-mail: karla@clearwater.org Robert Snook, Esq.
 
Office of the Attorney General
 
State of Connecticut
 
55 Elm Street
 
P.O. Box 120
 
Hartford, CT  06141-0120
 
E-mail: robert.snook@ct.gov Daniel Riesel, Esq.
Thomas F. Wood, Esq.
 
Victoria Shiah, Esq.
 
Sive, Paget & Riesel, P.C.
 
460 Park Avenue
 
New York, NY  10022 E-mail:  driesel@sprlaw.com E-mail: vshiah@sprlaw.com Phillip Musegaas, Esq.
 
Deborah Brancato, Esq.
 
Riverkeeper, Inc.
 
20 Secor Road
 
Ossining, NY  10562
 
E-mail: phillip@riverkeeper.org E-mail: dbrancato@riverkeeper.org Michael J. Delaney, Esq.
Director, Energy Regulatory Affairs
 
New York City Department of Environmental
 
Protection
 
59-17 Junction Boulevard


Flushing, NY 11373 
CERTIFICATION OF COUNSEL Pursuant to 10 C.F.R. § 2.323(b), the undersigned attorney hereby certifies that he has made a sincere effort to contact the other parties to this proceeding (Entergy, New York, Clearwater, and Riverkeeper), to resolve the issues raised in this Motion, and that his efforts to resolve this issue have been successful, in part.
Respectfully submitted,
                                                      /Signed (electronically) by/
Sherwin E. Turk Counsel for NRC Staff U.S. Nuclear Regulatory Commission Office of the General Counsel Mail Stop - O-15D21 Washington, DC 20555 Telephone: (301) 415-1533 E-mail: sherwin.turk@nrc.gov Dated at Rockville, Maryland this 22nd day of March 2012


E-mail: mdelaney@dep.nyc.gov
UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of                              )
                                              )
ENTERGY NUCLEAR OPERATIONS, INC. )                  Docket Nos. 50-247/286-LR
                                              )
(Indian Point Nuclear Generating              )
Units 2 and 3)                        )
CERTIFICATE OF SERVICE I hereby certify that copies of the foregoing NRC STAFFS MOTION FOR PARTIAL RECONSIDERATION AND/OR CLARIFICATION OF THE BOARDS ORDER OF MARCH 16, 2012, dated March 22, 2012, in the above-captioned proceeding have been served on the following by Electronic Information Exchange this 22nd day of March, 2012.
Lawrence G. McDade, Chair                        Office of Commission Appellate Atomic Safety and Licensing Board Panel            Adjudication Mail Stop - T-3 F23                              U.S. Nuclear Regulatory Commission U.S. Nuclear Regulatory Commission                Mail Stop: O-16G4 Washington, D.C. 20555-0001                      Washington, DC 20555-0001 E-mail: Lawrence.McDade@nrc.gov                  E-mail: OCAAMAIL.resource@nrc.gov Dr. Richard E. Wardwell                          Office of the Secretary Atomic Safety and Licensing Board Panel          Attn: Rulemaking and Adjudications Staff Mail Stop - T-3 F23                              Mail Stop: O-16G4 U.S. Nuclear Regulatory Commission                U.S. Nuclear Regulatory Commission Washington, D.C. 20555-0001                      Washington, DC 20555-0001 E-mail: Richard.Wardwell@nrc.gov                  E-mail: Hearing.Docket@nrc.gov Dr. Kaye D. Lathrop                              Josh Kirstein, Esq.
Atomic Safety and Licensing Board Panel          Anne Siarnacki, Esq.
190 Cedar Lane E.                                Atomic Safety and Licensing Board Panel Ridgway, CO 81432                                Mail Stop - T-3 F23 E-mail: Kaye.Lathrop@nrc.gov                      U. S, Nuclear Regulatory Commission Washington, D.C. 20555-0001 E-mail: Josh.Kirstein@nrc.gov E-mail: Anne.Siarnacki@nrc.gov


/Signed (electronically) by/
Atomic Safety and Licensing Board Panel    Melissa-Jean Rotini, Esq.
U.S. Nuclear Regulatory Commission          Assistant County Attorney Mail Stop: T-3 F23                          Office of Robert F. Meehan, Esq.
Washington, DC 20555-0001                    Westchester County Attorney 148 Martine Avenue, 6th Floor White Plains, NY 10601 E-mail: MJR1@westchestergov.com Kathryn M. Sutton, Esq.                    John J. Sipos, Esq.
Paul M. Bessette, Esq.                      Charlie Donaldson, Esq.
Jonathan Rund, Esq.                        Assistants Attorney General Raphael Kuyler, Esq.                        New York State Department of Law Morgan, Lewis & Bockius, LLP                Environmental Protection Bureau 1111 Pennsylvania Avenue, NW                The Capitol Washington, D.C. 20004                      Albany, NY 12224 E-mail: ksutton@morganlewis.com            E-mail: John.Sipos@ag.ny.gov E-mail: pbessette@morganlewis.com E-mail: jrund@morganlewis.com E-mail: rkuyler@morganlewis.com Janice A. Dean, Esq.
Martin J. ONeill, Esq.                    Assistant Attorney General, Morgan, Lewis & Bockius, LLP                Office of the Attorney General 1000 Louisiana Street, Suite 4000            of the State of New York Houston, TX 77002                          120 Broadway, 25th Floor E-mail: martin.o'neill@morganlewis.com      New York, NY 10271 E-mail: Janice.Dean@ag.ny.gov Elise N. Zoli, Esq.                        Joan Leary Matthews, Esq.
Goodwin Procter, LLP                        Senior Attorney for Special Projects Exchange Place                              New York State Department of 53 State Street                              Environmental Conservation Boston, MA 02109                            Office of the General Counsel E-mail: ezoli@goodwinprocter.com            625 Broadway, 14th Floor Albany, NY 12233-1500 E-mail: jlmatthe@gw.dec.state.ny.us William C. Dennis, Esq.                    John Louis Parker, Esq.
Assistant General Counsel                  Office of General Counsel, Region 3 Entergy Nuclear Operations, Inc.            New York State Department of 440 Hamilton Avenue                          Environmental Conservation White Plains, NY 10601                      21 South Putt Corners Road E-mail: wdennis@entergy.com                New Paltz, NY 12561-1620 E-mail: jlparker@gw.dec.state.ny.us


Sherwin E. Turk       Counsel for NRC Staff U.S. Nuclear Regulatory Commission Office of the General Counsel Mail Stop - O-15D21 Washington, DC 20555 Telephone: (301) 415-1533 E-mail:
Daniel E. ONeill, Mayor                  Manna Jo Greene James Seirmarco, M.S.                    Karla Raimundi Village of Buchanan                      Hudson River Sloop Clearwater, Inc.
sherwin.turk@nrc.gov}}
Municipal Building                        724 Wolcott Avenue Buchanan, NY 10511-1298                  Beacon, NY 12508 E-mail: vob@bestweb.net                  E-mail: mannajo@clearwater.org E-mail: smurray@villageofbuchanan.com    E-mail: karla@clearwater.org Robert Snook, Esq.                        Daniel Riesel, Esq.
Office of the Attorney General            Thomas F. Wood, Esq.
State of Connecticut                      Victoria Shiah, Esq.
55 Elm Street                            Sive, Paget & Riesel, P.C.
P.O. Box 120                              460 Park Avenue Hartford, CT 06141-0120                  New York, NY 10022 E-mail: robert.snook@ct.gov              E-mail: driesel@sprlaw.com E-mail: vshiah@sprlaw.com Phillip Musegaas, Esq.                    Michael J. Delaney, Esq.
Deborah Brancato, Esq.                    Director, Energy Regulatory Affairs Riverkeeper, Inc.                        New York City Department of Environmental 20 Secor Road                                Protection Ossining, NY 10562                        59-17 Junction Boulevard E-mail: phillip@riverkeeper.org          Flushing, NY 11373 E-mail: dbrancato@riverkeeper.org        E-mail: mdelaney@dep.nyc.gov
                                            /Signed (electronically) by/
Sherwin E. Turk Counsel for NRC Staff U.S. Nuclear Regulatory Commission Office of the General Counsel Mail Stop - O-15D21 Washington, DC 20555 Telephone: (301) 415-1533 E-mail: sherwin.turk@nrc.gov}}

Latest revision as of 07:30, 12 November 2019

NRC Staff'S Motion for Partial Reconsideration And/Or Clarification of the Board'S Order of March 16, 2012
ML12082A272
Person / Time
Site: Indian Point  Entergy icon.png
Issue date: 03/22/2012
From: Sherwin Turk
NRC/OGC
To:
Atomic Safety and Licensing Board Panel
SECY RAS
References
RAS 22077, 50-247-LR, 50-286-LR, ASLBP 07-858-03-LR-BD01
Download: ML12082A272 (9)


Text

March 22, 2012 UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of )

)

ENTERGY NUCLEAR OPERATIONS, INC. ) Docket Nos. 50-247-LR/286-LR

)

(Indian Point Nuclear Generating )

Units 2 and 3) )

NRC STAFFS MOTION FOR PARTIAL RECONSIDERATION AND/OR CLARIFICATION OF THE BOARDS ORDER OF MARCH 16, 2012 Pursuant to 10 C.F.R. § 2.323(c), the NRC Staff (Staff) hereby requests that the Atomic Safety and Licensing Board (Board) reconsider and/or clarify, in part, the Boards Order (Granting in Part and Denying in Part State of New York and Riverkeepers Motion to Compel (Order), issued on March 16, 2012, to the extent that the Board established a schedule for litigation of all portions of Contention NYS-38/RK-TC-5. In support of this request, the Staff states as follows:

1. In its Order of March 16, 2012, the Board resolved the motion to compel which had been filed by the State of New York (New York) and Riverkeeper, Inc. (Riverkeeper)

(collectively, Intervenors), seeking additional document disclosures by the Staff.1 The Staff does not seek reconsideration or clarification of the Boards ruling on that motion.

1 In accordance with the Boards Order, the Staff and its consultants are again reviewing the documents in their possession, to determine if any documents must be disclosed that have not been disclosed already. In the event that additional documents are identified, they will be filed as evidentiary exhibits along with the Staffs testimony and/or placed in the hearing file, as appropriate.

2. In addition, the Boards Order established a schedule for the filing of evidentiary presentations on Contention NYS-38/RK-TC-5 (Order at 12) by the Intervenors, Staff, and Entergy Nuclear Operations, Inc. (Entergy or Applicant), stating as follows:

Because we have resolved the discovery dispute regarding NYS-38/RK-TC-5, we lay out the following schedule for evidentiary submissions relating to this contention in order to bring the contention in line with the other contentions on track for the first round of the evidentiary hearing in this proceeding:

1. New York and Riverkeeper shall have forty-five (45) days after issuance of this Order to present their evidentiary submissions on this contention (April 30, 2012).
2. Entergy and the NRC Staff shall have thirty (30) days thereafter to present their evidentiary submission on this contention.
3. New York and Riverkeeper shall have ten (10) days thereafter to present their revised or rebuttal testimony on this contention.
4. All subsequent steps pursuant to the Boards July 1, 2010 Scheduling Order shall resume and follow the track and timing for other pending contentions in the first round of the evidentiary hearing.

Id.; emphasis added.

3. As the Board has recognized, Contention NYS-38/RK-TC-5 broadly contend[s],

relying on multiple bases, that Entergys new commitments do not meet NRC regulations for having a program that will adequately manage the effects of aging during the period of extended operations.2 As the Board further recognized, the Intervenors presented four bases in support of this contention:

These bases are that Entergy (1) has deferred defining the methods used for determining the most limiting locations for metal fatigue calculations and the selection of those locations; (2) has not specified the criteria it will use and assumptions upon which it will rely for modifying the WESTEMS computer model for environmentally adjusted cumulative usage factors (CUFen) calculations; (3) has not adequately defined how it will manage 2

Memorandum and Order (Admitting New Contention NYS-38/RK-TC-5) (Nov. 10, 2011), at 10.

primary water stress corrosion cracking (PWSCC) because it will not begin inspections until after entering the period of extended operations and Entergy has substituted a document, which will not be released until 2013, for its prior water chemistry program to manage PWSCC of the nickel alloy or nickel-alloy clad steam generator divider plates exposed to reactor coolant; and (4) does not adequately describe the contents of its AMP for reactor vessel internals, based on a revised version of the Materials Reliability Program 227 (MRP-227) guidance document.3

4. Thus, as reflected in the Boards Order admitting Contention NYS-38/RK-TC-5, in litigating this contention the parties must address an issue related to the Applicants aging management program (AMP) for reactor vessel internals - which is also the subject of Contention NYS-25 (Reactor Vessel Internals).
5. The Board has previously deferred litigation of Contention NYS-25,4 in light of the Staffs reported determination that it will be unable to submit its evidentiary presentations on Contention NYS-25 until it has completed its review of additional information that it expected to receive from the Applicant on February 17, 2012, concerning its AMP for reactor vessel internals under the revised version of MRP 227.5
6. As stated in the Staffs March 1 Status Report, Entergy submitted the additional information concerning its Reactor Vessel Internals AMP and Inspection Plan, on February 17, 2012. As also stated in the Staff status report, the Staff is reviewing the information and has 3

Id. at 10-11 n.47; emphasis added, citation omitted.

4 Order (Granting NRC Staffs Unopposed Time Extension Motion and Directing the Filing of Status Updates) (Feb. 16, 2012), at 2.

5 See (1) NRC Staffs Status Report in Response to the Atomic Safety and Licensing Boards Order of February 16, 2012 (March 1, 2012), at 1-2 (March 1 Status Report); (2) NRC Staffs Statement in Response to the Atomic Safety and Licensing Boards Order of February 3, 2012 (Feb. 8, 2012), at 3; (3) NRC Staffs Unopposed Motion for Extension of Time for the Filing of Testimony, Exhibits and Statements of Position (Feb. 2, 2012), at 3; and (4) Letter from Sherwin E. Turk to the Board (Jan.

27, 2012).

determined that it will be unable to file its testimony on this issue until it completes its review -

which, the Staff reported, would affect the litigation of Contention NYS-38/RKTC-5:

By letter dated February 17, 2012, Entergy submitted that additional information to the Staff. The Staff is currently reviewing that information, and has determined that it is not able to file its testimony and state its position on Contention NYS-25 (Reactor Vessel Internals) at this time. The Staff will provide further information to the Board concerning this matter as soon as it is able to do so. As stated in the Staffs Statement of February 8, 2012, the Staff believes that a deferral of the Staffs filings on Contention NYS-25 would not affect the litigation of any admitted contention other than Contention NYS-25 and Contention NYS-38/RK TC-5 (presently deferred).6

7. The Staff has determined to issue a request for additional information (RAI), to seek further information from Entergy concerning its AMP for reactor vessel internals. The Staff presently expects to issue that RAI in April 2012. Depending upon Entergys responses, it is possible that the Staff will be able to take a position on this issue this summer; however, the Staff is unable to take a position now on this portion of Contention NYS-38/RK TC-5. Further, although the Staff cannot predict how other parties positions on this contention may be affected by Entergys response to the RAI, it is conceivable that their positions could be affected as well.
8. Accordingly, the Staff hereby requests that the Board modify the schedule for submission of evidentiary presentations on Contention NYS-38/RK TC-5 to defer the filing of evidentiary submissions on this contention insofar as it involves issues concerning Entergys AMP for reactor vessel internals, until litigation resumes on related Contention NYS-25.

6 March 1 Status Report, at 1-2; emphasis added. See also NRC Staffs Statement in Response to the Atomic Safety and Licensing Boards Order of February 3, 2012 (Feb. 8, 2012), at 2 ¶ 3(b) (If the Staff determines that it requires additional information from Entergy regarding its submittal, the Staff may find it necessary to defer filing its testimony and statement of position on Contention NYS-25 pending completion of its review of that matter; a deferral of the Staffs filings on Contention NYS-25 would not affect the litigation of any admitted contention other than Contention NYS-25 and Contention NYS-38/RKTC-5 (presently deferred).

9. In accordance with 10 C.F.R. § 2.323(b), Staff Counsel has contacted Counsel for New York, Riverkeeper, Clearwater, and Entergy. Counsel for New York, Riverkeeper and Entergy have authorized the Staff to state that those parties do not oppose the Staffs request; Counsel for Clearwater was not available as of the time of filing this motion.

WHEREFORE, the Staff respectfully requests that the Board reconsider and/or clarify its Order of March 16, 2012, to the extent that the Board established a schedule for litigation of Reactor Vessel Internals issues in Contention NYS-38/RK-TC-5.

Respectfully submitted,

/Signed (electronically) by/

Sherwin E. Turk Counsel for NRC Staff U.S. Nuclear Regulatory Commission Office of the General Counsel Mail Stop - O-15D21 Washington, DC 20555 Telephone: (301) 415-1533 E-mail: sherwin.turk@nrc.gov Dated at Rockville, Maryland this 22nd day of March 2012

CERTIFICATION OF COUNSEL Pursuant to 10 C.F.R. § 2.323(b), the undersigned attorney hereby certifies that he has made a sincere effort to contact the other parties to this proceeding (Entergy, New York, Clearwater, and Riverkeeper), to resolve the issues raised in this Motion, and that his efforts to resolve this issue have been successful, in part.

Respectfully submitted,

/Signed (electronically) by/

Sherwin E. Turk Counsel for NRC Staff U.S. Nuclear Regulatory Commission Office of the General Counsel Mail Stop - O-15D21 Washington, DC 20555 Telephone: (301) 415-1533 E-mail: sherwin.turk@nrc.gov Dated at Rockville, Maryland this 22nd day of March 2012

UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of )

)

ENTERGY NUCLEAR OPERATIONS, INC. ) Docket Nos. 50-247/286-LR

)

(Indian Point Nuclear Generating )

Units 2 and 3) )

CERTIFICATE OF SERVICE I hereby certify that copies of the foregoing NRC STAFFS MOTION FOR PARTIAL RECONSIDERATION AND/OR CLARIFICATION OF THE BOARDS ORDER OF MARCH 16, 2012, dated March 22, 2012, in the above-captioned proceeding have been served on the following by Electronic Information Exchange this 22nd day of March, 2012.

Lawrence G. McDade, Chair Office of Commission Appellate Atomic Safety and Licensing Board Panel Adjudication Mail Stop - T-3 F23 U.S. Nuclear Regulatory Commission U.S. Nuclear Regulatory Commission Mail Stop: O-16G4 Washington, D.C. 20555-0001 Washington, DC 20555-0001 E-mail: Lawrence.McDade@nrc.gov E-mail: OCAAMAIL.resource@nrc.gov Dr. Richard E. Wardwell Office of the Secretary Atomic Safety and Licensing Board Panel Attn: Rulemaking and Adjudications Staff Mail Stop - T-3 F23 Mail Stop: O-16G4 U.S. Nuclear Regulatory Commission U.S. Nuclear Regulatory Commission Washington, D.C. 20555-0001 Washington, DC 20555-0001 E-mail: Richard.Wardwell@nrc.gov E-mail: Hearing.Docket@nrc.gov Dr. Kaye D. Lathrop Josh Kirstein, Esq.

Atomic Safety and Licensing Board Panel Anne Siarnacki, Esq.

190 Cedar Lane E. Atomic Safety and Licensing Board Panel Ridgway, CO 81432 Mail Stop - T-3 F23 E-mail: Kaye.Lathrop@nrc.gov U. S, Nuclear Regulatory Commission Washington, D.C. 20555-0001 E-mail: Josh.Kirstein@nrc.gov E-mail: Anne.Siarnacki@nrc.gov

Atomic Safety and Licensing Board Panel Melissa-Jean Rotini, Esq.

U.S. Nuclear Regulatory Commission Assistant County Attorney Mail Stop: T-3 F23 Office of Robert F. Meehan, Esq.

Washington, DC 20555-0001 Westchester County Attorney 148 Martine Avenue, 6th Floor White Plains, NY 10601 E-mail: MJR1@westchestergov.com Kathryn M. Sutton, Esq. John J. Sipos, Esq.

Paul M. Bessette, Esq. Charlie Donaldson, Esq.

Jonathan Rund, Esq. Assistants Attorney General Raphael Kuyler, Esq. New York State Department of Law Morgan, Lewis & Bockius, LLP Environmental Protection Bureau 1111 Pennsylvania Avenue, NW The Capitol Washington, D.C. 20004 Albany, NY 12224 E-mail: ksutton@morganlewis.com E-mail: John.Sipos@ag.ny.gov E-mail: pbessette@morganlewis.com E-mail: jrund@morganlewis.com E-mail: rkuyler@morganlewis.com Janice A. Dean, Esq.

Martin J. ONeill, Esq. Assistant Attorney General, Morgan, Lewis & Bockius, LLP Office of the Attorney General 1000 Louisiana Street, Suite 4000 of the State of New York Houston, TX 77002 120 Broadway, 25th Floor E-mail: martin.o'neill@morganlewis.com New York, NY 10271 E-mail: Janice.Dean@ag.ny.gov Elise N. Zoli, Esq. Joan Leary Matthews, Esq.

Goodwin Procter, LLP Senior Attorney for Special Projects Exchange Place New York State Department of 53 State Street Environmental Conservation Boston, MA 02109 Office of the General Counsel E-mail: ezoli@goodwinprocter.com 625 Broadway, 14th Floor Albany, NY 12233-1500 E-mail: jlmatthe@gw.dec.state.ny.us William C. Dennis, Esq. John Louis Parker, Esq.

Assistant General Counsel Office of General Counsel, Region 3 Entergy Nuclear Operations, Inc. New York State Department of 440 Hamilton Avenue Environmental Conservation White Plains, NY 10601 21 South Putt Corners Road E-mail: wdennis@entergy.com New Paltz, NY 12561-1620 E-mail: jlparker@gw.dec.state.ny.us

Daniel E. ONeill, Mayor Manna Jo Greene James Seirmarco, M.S. Karla Raimundi Village of Buchanan Hudson River Sloop Clearwater, Inc.

Municipal Building 724 Wolcott Avenue Buchanan, NY 10511-1298 Beacon, NY 12508 E-mail: vob@bestweb.net E-mail: mannajo@clearwater.org E-mail: smurray@villageofbuchanan.com E-mail: karla@clearwater.org Robert Snook, Esq. Daniel Riesel, Esq.

Office of the Attorney General Thomas F. Wood, Esq.

State of Connecticut Victoria Shiah, Esq.

55 Elm Street Sive, Paget & Riesel, P.C.

P.O. Box 120 460 Park Avenue Hartford, CT 06141-0120 New York, NY 10022 E-mail: robert.snook@ct.gov E-mail: driesel@sprlaw.com E-mail: vshiah@sprlaw.com Phillip Musegaas, Esq. Michael J. Delaney, Esq.

Deborah Brancato, Esq. Director, Energy Regulatory Affairs Riverkeeper, Inc. New York City Department of Environmental 20 Secor Road Protection Ossining, NY 10562 59-17 Junction Boulevard E-mail: phillip@riverkeeper.org Flushing, NY 11373 E-mail: dbrancato@riverkeeper.org E-mail: mdelaney@dep.nyc.gov

/Signed (electronically) by/

Sherwin E. Turk Counsel for NRC Staff U.S. Nuclear Regulatory Commission Office of the General Counsel Mail Stop - O-15D21 Washington, DC 20555 Telephone: (301) 415-1533 E-mail: sherwin.turk@nrc.gov