ML19269C300: Difference between revisions

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UNITED STATES OF AMERICA
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NUCLEAR REGULATORY COMMISSION          5                    --
NUCLEAR REGULATORY COMMISSION          5                    --
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In The Matter Of                            :                          3 ro  W
In The Matter Of                            :                          3 ro  W COMMONWEALTH EDISON CO., et al.            :
:
Docket Nos. 50-237 50-249 (Amendments to Operating Licenses)        :
COMMONWEALTH EDISON CO., et al.            :
Docket Nos. 50-237
                                                ,
* 50-249 (Amendments to Operating Licenses)        :
50-254 50-265 NATURAL RESOURCES DEFENSE COUNCIL AND CITIZENS FOR A BETTER ENVIRONMENT'S STATEMENT OF CONTENTIONS Contention 1 - The proposed action violates the National Environmental Policy Act because it is a commitment to a program which precedes the completion of the required programmatic impact statements,
50-254 50-265 NATURAL RESOURCES DEFENSE COUNCIL AND CITIZENS FOR A BETTER ENVIRONMENT'S STATEMENT OF CONTENTIONS Contention 1 - The proposed action violates the National Environmental Policy Act because it is a commitment to a program which precedes the completion of the required programmatic impact statements,
: a. NRC and DOE have announced a proposed program for storage of spent fuel away from the reactors where the spent fuel is generated and have agreed to prepare and are preparing programmatic impact statements under NEPA to evaluate that proposed action.
: a. NRC and DOE have announced a proposed program for storage of spent fuel away from the reactors where the spent fuel is generated and have agreed to prepare and are preparing programmatic impact statements under NEPA to evaluate that proposed action.
: b. Included among the options examined is consideration of transshipment of spent fuel between reactors as proposed here.
: b. Included among the options examined is consideration of transshipment of spent fuel between reactors as proposed here.
: c. Approval of this proposed action by applicant would permit the adoption of the transshipment option for it would forestall development of preferable alternative plans to meet the spent fuel storage program, particularly expansion of spent fuel storage at each plant site, and
: c. Approval of this proposed action by applicant would permit the adoption of the transshipment option for it would forestall development of preferable alternative plans to meet the spent fuel storage program, particularly expansion of spent fuel storage at each plant site, and 1/  The DOE impact statements include DOE /EIS-0041-D, DOE /EIS-0015-D and DS (Supplement), and DOE /EI-0055 7 9 01310 0 G>4
                                  .
1/  The DOE impact statements include DOE /EIS-0041-D, DOE /EIS-0015-D and DS (Supplement), and DOE /EI-0055 7 9 01310 0 G>4


  -    .
2 by the application of the sunk cost doctrine (New Encland Coalition on Nuclear Pollution v. NRC, Dkt. Nos. 77-1219, 77-1306, 77-1342, 78-1013 (decided August 22, 1978),
.      ..
                              .
2
    *
              .
by the application of the sunk cost doctrine (New Encland Coalition on Nuclear Pollution v. NRC, Dkt. Nos. 77-1219, 77-1306, 77-1342, 78-1013 (decided August 22, 1978),
F.2d      (1st Cir. 1978)) tend to foreclose the prefer-able options.
F.2d      (1st Cir. 1978)) tend to foreclose the prefer-able options.
Contention 2 - Approval of the proposed actions would violate NEPA because it is a major federal action significantly affecting the environment for which no impact statement has been prepared.
Contention 2 - Approval of the proposed actions would violate NEPA because it is a major federal action significantly affecting the environment for which no impact statement has been prepared.
: a. The quantity of spent fuel to be moved, the number of casks, trucks and shipments required, the number of members of the public and workers which will be and could be exposed to radiation due to routine, accidental or intentional releases from hrndling and shipping spent fuel, the alleged dollar and environmental benefits of the proposed action over allowing the reactcrs to be shut down, the increased risks to the health and safety of the public living in the vicinity of the facilities and along the shipment route without any comparable increase in benefits to that public, the foreclosing of the environmentally preferable option of expanded storage of spent fuel at each plant site, and the long-term implications of another spent fuel storage half-measure which allows increasing nuclear wastes without a solution and without progress toward a solution for the permanent and safe storage of such waste are all factors which make approval of the , proposed action a major federal action with significant impact on the environment.
: a. The quantity of spent fuel to be moved, the number of casks, trucks and shipments required, the number of members of the public and workers which will be and could be exposed to radiation due to routine, accidental or intentional releases from hrndling and shipping spent fuel, the alleged dollar and environmental benefits of the proposed action over allowing the reactcrs to be shut down, the increased risks to the health and safety of the public living in the vicinity of the facilities and along the shipment route without any comparable increase in benefits to that public, the foreclosing of the environmentally preferable option of expanded storage of spent fuel at each plant site, and the long-term implications of another spent fuel storage half-measure which allows increasing nuclear wastes without a solution and without progress toward a solution for the permanent and safe storage of such waste are all factors which make approval of the , proposed action a major federal action with significant impact on the environment.


                                                                  .
3                                .  .
3                                .  .
                                                                    *
        .
Contention 3 - There has been no adequate analysis of the alter-natives to the proposed action.
Contention 3 - There has been no adequate analysis of the alter-natives to the proposed action.
: a. The alternative of using any of the reactors as a lact
: a. The alternative of using any of the reactors as a lact on, first off, plant to reduce spent fuel discharge requirements is not considered.
                                                    '
on, first off, plant to reduce spent fuel discharge requirements is not considered.
: b. There are not technological or economic disadvantages to expanding spent fuel pool capacity at each plant site if it is assumed that all spent fuel will be stored there until it is shipped to a legally approved permanent storage facility for nuclear wastes. This option will reduce the risks of routine, accidental and intentional releases of radioactivity.
: b. There are not technological or economic disadvantages to expanding spent fuel pool capacity at each plant site if it is assumed that all spent fuel will be stored there until it is shipped to a legally approved permanent storage facility for nuclear wastes. This option will reduce the risks of routine, accidental and intentional releases of radioactivity.
: c. Applicant has not fu'11y utilized all of the potential it has to store spent fuel in existing pools at each plant.
: c. Applicant has not fu'11y utilized all of the potential it has to store spent fuel in existing pools at each plant.
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: b. The residual health risks which remain even if the pre-sent NRC regulations on exposures to workers are met are major costs of the proposed action which tip the balance against the proposed action. The health hazards include increased genetic mutations which affect the entire population directly and increased somatic effects which
: b. The residual health risks which remain even if the pre-sent NRC regulations on exposures to workers are met are major costs of the proposed action which tip the balance against the proposed action. The health hazards include increased genetic mutations which affect the entire population directly and increased somatic effects which


  .  .
      *
.                                      4
.                                      4
        .
              -
                                                                           ~
                                                                           ~
affect the workers directly and the general population indirectly as lost productivity, higher health costs and the loss of farily or friends. Recent evidence by Drs.
affect the workers directly and the general population indirectly as lost productivity, higher health costs and the loss of farily or friends. Recent evidence by Drs.
Mancuso and Bross indicates that the dangers from low levels of radiation are greater than originally assumed by the BEIR Committee. The NRC regulations set levels for workers 10 times higher than acceptable even if the BEIR Committee calculation of health effects is used.
Mancuso and Bross indicates that the dangers from low levels of radiation are greater than originally assumed by the BEIR Committee. The NRC regulations set levels for workers 10 times higher than acceptable even if the BEIR Committee calculation of health effects is used.
See Natural Resources Defense Council Petition to Amend 10 CFR 20.101 Exposure of Individuals to Radiation in Restricted Areas, October 29, 1975, and Supplement to Petition an  Request for Hearings, November 4, 1977.
See Natural Resources Defense Council Petition to Amend 10 CFR 20.101 Exposure of Individuals to Radiation in Restricted Areas, October 29, 1975, and Supplement to Petition an  Request for Hearings, November 4, 1977.
                                                      .
Contention 5 - Applicant overstates the need for action at this time by using the one-core discharge capacity reserve standard as if it were a requirement where in fact it is not a requirement of NRC regulations.
Contention 5 - Applicant overstates the need for action at this time by using the one-core discharge capacity reserve standard as if it were a requirement where in fact it is not a requirement
_.
of NRC regulations.
: a. Either applicant should be bound to comply with the one-core discharge capacity standard or it should have to demonstrate on a NEPA cost / benefit basis that holding that capability is more valuable than the costs of shipment  off-site of one core of spent fuel.
: a. Either applicant should be bound to comply with the one-core discharge capacity standard or it should have to demonstrate on a NEPA cost / benefit basis that holding that capability is more valuable than the costs of shipment  off-site of one core of spent fuel.
: b. Numerous utilities now are in violation of this standard.
: b. Numerous utilities now are in violation of this standard.
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Contention 6 - Applicant has failed to disclose any information sufficient to determine whether shipment of spent fuel between the
Contention 6 - Applicant has failed to disclose any information sufficient to determine whether shipment of spent fuel between the


                                                                    .
S plant sites will ha vulnerable to sabotage, hijacking or other malevolent acts a ' whether this represents a serious risk to public health and safety.
                                                                  -
S
        .
plant sites will ha vulnerable to sabotage, hijacking or other malevolent acts a ' whether this represents a serious risk to public health and safety.
: a. A credible threat of an attack against such a shipment would be 3 insiders and 15 outsiders, the latter armed with sop'.isticated rapid fire automatic weapons, explo-sives, large shell mortars and armored vehicles.
: a. A credible threat of an attack against such a shipment would be 3 insiders and 15 outsiders, the latter armed with sop'.isticated rapid fire automatic weapons, explo-sives, large shell mortars and armored vehicles.
: b. There is no known basis for assuring detection of a threat of this size until it has materialized.
: b. There is no known basis for assuring detection of a threat of this size until it has materialized.
: c. Unless applicant is taking safety precautions far beyond those routinely used in the nuclear industry, it will be unable to prevent a malevolent act involving spent fuel in transit.
: c. Unless applicant is taking safety precautions far beyond those routinely used in the nuclear industry, it will be unable to prevent a malevolent act involving spent fuel in transit.
: d. A successful malevolent act directed against a spent fuel shipment could expose thousands of persons to fatal levels of radiation, could severely pollute water supplies and land areas, forcn long-term evacuation of
: d. A successful malevolent act directed against a spent fuel shipment could expose thousands of persons to fatal levels of radiation, could severely pollute water supplies and land areas, forcn long-term evacuation of major areas and create a threat of all these events unless certain unacceptable political and/or other demands are met.
                                                                      '
major areas and create a threat of all these events unless certain unacceptable political and/or other demands are met.
Contention 7 - The application provides insufficient information for consideration of the proposed action,
Contention 7 - The application provides insufficient information for consideration of the proposed action,
: a. There is no ER.                                  ,
: a. There is no ER.                                  ,
: b. There is no analysis of additional emergency planning required by the transportation of spent fuel between the reactor. sites.
: b. There is no analysis of additional emergency planning required by the transportation of spent fuel between the reactor. sites.


  .
-                                  6 Contention 8 - The proposed action violates the standards for consideration of proposed spent fuel handling    prior to completion of the GEIS on spent fuel handling.
-                                  6
          -
    .
Contention 8 - The proposed action violates the standards for consideration of proposed spent fuel handling    prior to completion of the GEIS on spent fuel handling.
: a. The proposed action has no utility unless it is assumed that in the near future an AFR will be built to accomo-date spent fuel from the reactors. Thus the proposed action will tend to increase pressure for . ch action.
: a. The proposed action has no utility unless it is assumed that in the near future an AFR will be built to accomo-date spent fuel from the reactors. Thus the proposed action will tend to increase pressure for . ch action.
: b. The proposed action will tend to foreclose the option of expanding spent fuel storage capacity at each plant site to handle their own spent fuel by committing economic resources and time to a measure whose own utility is as a holding action pending construction of an AFR.
: b. The proposed action will tend to foreclose the option of expanding spent fuel storage capacity at each plant site to handle their own spent fuel by committing economic resources and time to a measure whose own utility is as a holding action pending construction of an AFR.
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: b. Expansion of spent fuel capacity at Quad Cities was found by the Staff to be sufficient to assure full core discharge capability through 1985 and normal refueling through 1988 for the Quad Cities units without trans-shipment. Environmental Impact Appraisal Relating to
: b. Expansion of spent fuel capacity at Quad Cities was found by the Staff to be sufficient to assure full core discharge capability through 1985 and normal refueling through 1988 for the Quad Cities units without trans-shipment. Environmental Impact Appraisal Relating to


                                                                  .
7 Modification To The Spent Fuel Pool (Jan. 30, 1978) p. 3.
.
7
        .
    .
Modification To The Spent Fuel Pool (Jan. 30, 1978) p. 3.
Respectfully submitted,
Respectfully submitted,
                                          ,
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                                   "AnthonyZ./Roid$ man Natural Msources Defense Council 917 15th Street,    N.W.
                                   "AnthonyZ./Roid$ man Natural Msources Defense Council 917 15th Street,    N.W.
Washington, D.C. 20005 (202)737-5000 Dated:  December  28, 1978
Washington, D.C. 20005 (202)737-5000 Dated:  December  28, 1978 s
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In the Matter of                        :                                  Go    a COMMONWEALTH EDISON CO., et al.          :    Docket Nos. 50-237
:
COMMONWEALTH EDISON CO., et al.          :    Docket Nos. 50-237
:                        50-249 (Amendments to Operating Licenses)      :                        50-254 50-265 CERTIFICATE OF SERVICE
:                        50-249 (Amendments to Operating Licenses)      :                        50-254 50-265 CERTIFICATE OF SERVICE
     .                  I hereby certify that copies of NRDC AND CBE STATEMENT OF CONTENTIONS were mailed today, December 28, 1978, first class postage prepaid, to:
     .                  I hereby certify that copies of NRDC AND CBE STATEMENT OF CONTENTIONS were mailed today, December 28, 1978, first class postage prepaid, to:
                                                                      -.
Secretary of the Commission                  Gary L. Milhollin, Esq.
Secretary of the Commission                  Gary L. Milhollin, Esq.
U.S. Nuclear Regulatory Commission          1815 Jefferson Street Washington, D.C. 20555                  Madison, Wisconsin 53711 Attention: Docketing and Service Mrs. Elizabeth B. Johnson Executive Legal Director                    Union Carbide Corporation U.S. Nuclear Regulatory Commission          Nuclear Division Washington, D.C. 20555                      P.O. Box X Oak Ridge, Tennessee 37830 Philip P. Steptoe Isham, Lincoln & Beale                      Dr. Quentin J. Stober One First National Plaza                    Fisheries Research Institute 42nd Floor                                  University of Washington Chicago, Illinois 60603                      Seattle, Washington 98195
U.S. Nuclear Regulatory Commission          1815 Jefferson Street Washington, D.C. 20555                  Madison, Wisconsin 53711 Attention: Docketing and Service Mrs. Elizabeth B. Johnson Executive Legal Director                    Union Carbide Corporation U.S. Nuclear Regulatory Commission          Nuclear Division Washington, D.C. 20555                      P.O. Box X Oak Ridge, Tennessee 37830 Philip P. Steptoe Isham, Lincoln & Beale                      Dr. Quentin J. Stober One First National Plaza                    Fisheries Research Institute 42nd Floor                                  University of Washington Chicago, Illinois 60603                      Seattle, Washington 98195 Susan N. Sekuler Assistant Attorney General 188 W. Randolph Street Suite 2315 Chicago, Ill. 60601
  -
Susan N. Sekuler Assistant Attorney General 188 W. Randolph Street Suite 2315 Chicago, Ill. 60601
                                                        .
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Latest revision as of 19:12, 1 February 2020

NRDC & Citizens for a Better Environ Statement of Contentions.Asserts Action Would Violate Nepa,Provide No Adequate Analysis of Alternatives & Increase Exposure of Workers to Radiation.W/Certificate of Svc
ML19269C300
Person / Time
Site: Dresden, Quad Cities  Constellation icon.png
Issue date: 12/28/1978
From: Roisman A
National Resources Defense Council
To:
Shared Package
ML19269C296 List:
References
NUDOCS 7901310064
Download: ML19269C300 (8)


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UNITED STATES OF AMERICA S- W Dbg,3 [g .})7 -

NUCLEAR REGULATORY COMMISSION 5 --

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In The Matter Of  : 3 ro W COMMONWEALTH EDISON CO., et al.  :

Docket Nos. 50-237 50-249 (Amendments to Operating Licenses)  :

50-254 50-265 NATURAL RESOURCES DEFENSE COUNCIL AND CITIZENS FOR A BETTER ENVIRONMENT'S STATEMENT OF CONTENTIONS Contention 1 - The proposed action violates the National Environmental Policy Act because it is a commitment to a program which precedes the completion of the required programmatic impact statements,

a. NRC and DOE have announced a proposed program for storage of spent fuel away from the reactors where the spent fuel is generated and have agreed to prepare and are preparing programmatic impact statements under NEPA to evaluate that proposed action.
b. Included among the options examined is consideration of transshipment of spent fuel between reactors as proposed here.
c. Approval of this proposed action by applicant would permit the adoption of the transshipment option for it would forestall development of preferable alternative plans to meet the spent fuel storage program, particularly expansion of spent fuel storage at each plant site, and 1/ The DOE impact statements include DOE /EIS-0041-D, DOE /EIS-0015-D and DS (Supplement), and DOE /EI-0055 7 9 01310 0 G>4

2 by the application of the sunk cost doctrine (New Encland Coalition on Nuclear Pollution v. NRC, Dkt. Nos. 77-1219, 77-1306, 77-1342, 78-1013 (decided August 22, 1978),

F.2d (1st Cir. 1978)) tend to foreclose the prefer-able options.

Contention 2 - Approval of the proposed actions would violate NEPA because it is a major federal action significantly affecting the environment for which no impact statement has been prepared.

a. The quantity of spent fuel to be moved, the number of casks, trucks and shipments required, the number of members of the public and workers which will be and could be exposed to radiation due to routine, accidental or intentional releases from hrndling and shipping spent fuel, the alleged dollar and environmental benefits of the proposed action over allowing the reactcrs to be shut down, the increased risks to the health and safety of the public living in the vicinity of the facilities and along the shipment route without any comparable increase in benefits to that public, the foreclosing of the environmentally preferable option of expanded storage of spent fuel at each plant site, and the long-term implications of another spent fuel storage half-measure which allows increasing nuclear wastes without a solution and without progress toward a solution for the permanent and safe storage of such waste are all factors which make approval of the , proposed action a major federal action with significant impact on the environment.

3 . .

Contention 3 - There has been no adequate analysis of the alter-natives to the proposed action.

a. The alternative of using any of the reactors as a lact on, first off, plant to reduce spent fuel discharge requirements is not considered.
b. There are not technological or economic disadvantages to expanding spent fuel pool capacity at each plant site if it is assumed that all spent fuel will be stored there until it is shipped to a legally approved permanent storage facility for nuclear wastes. This option will reduce the risks of routine, accidental and intentional releases of radioactivity.
c. Applicant has not fu'11y utilized all of the potential it has to store spent fuel in existing pools at each plant.

Contention 4 - The proposed action increases the exposure to radiation of workers and the general public beyond what is ALARA.

a. ALARA can be achieved by on-site expansion of spent fuel pool storage capacity at each plant site, including building another spent fuel pool,
b. The residual health risks which remain even if the pre-sent NRC regulations on exposures to workers are met are major costs of the proposed action which tip the balance against the proposed action. The health hazards include increased genetic mutations which affect the entire population directly and increased somatic effects which

. 4

~

affect the workers directly and the general population indirectly as lost productivity, higher health costs and the loss of farily or friends. Recent evidence by Drs.

Mancuso and Bross indicates that the dangers from low levels of radiation are greater than originally assumed by the BEIR Committee. The NRC regulations set levels for workers 10 times higher than acceptable even if the BEIR Committee calculation of health effects is used.

See Natural Resources Defense Council Petition to Amend 10 CFR 20.101 Exposure of Individuals to Radiation in Restricted Areas, October 29, 1975, and Supplement to Petition an Request for Hearings, November 4, 1977.

Contention 5 - Applicant overstates the need for action at this time by using the one-core discharge capacity reserve standard as if it were a requirement where in fact it is not a requirement of NRC regulations.

a. Either applicant should be bound to comply with the one-core discharge capacity standard or it should have to demonstrate on a NEPA cost / benefit basis that holding that capability is more valuable than the costs of shipment off-site of one core of spent fuel.
b. Numerous utilities now are in violation of this standard.

See ERDA 77-25, p. 7; Spent Fuel Storage Study (1976-1986) prepared by AIF (April 1977), p. 11.

Contention 6 - Applicant has failed to disclose any information sufficient to determine whether shipment of spent fuel between the

S plant sites will ha vulnerable to sabotage, hijacking or other malevolent acts a ' whether this represents a serious risk to public health and safety.

a. A credible threat of an attack against such a shipment would be 3 insiders and 15 outsiders, the latter armed with sop'.isticated rapid fire automatic weapons, explo-sives, large shell mortars and armored vehicles.
b. There is no known basis for assuring detection of a threat of this size until it has materialized.
c. Unless applicant is taking safety precautions far beyond those routinely used in the nuclear industry, it will be unable to prevent a malevolent act involving spent fuel in transit.
d. A successful malevolent act directed against a spent fuel shipment could expose thousands of persons to fatal levels of radiation, could severely pollute water supplies and land areas, forcn long-term evacuation of major areas and create a threat of all these events unless certain unacceptable political and/or other demands are met.

Contention 7 - The application provides insufficient information for consideration of the proposed action,

a. There is no ER. ,
b. There is no analysis of additional emergency planning required by the transportation of spent fuel between the reactor. sites.

- 6 Contention 8 - The proposed action violates the standards for consideration of proposed spent fuel handling prior to completion of the GEIS on spent fuel handling.

a. The proposed action has no utility unless it is assumed that in the near future an AFR will be built to accomo-date spent fuel from the reactors. Thus the proposed action will tend to increase pressure for . ch action.
b. The proposed action will tend to foreclose the option of expanding spent fuel storage capacity at each plant site to handle their own spent fuel by committing economic resources and time to a measure whose own utility is as a holding action pending construction of an AFR.

Contention 9 - The alleged need for immediate action on the proposal is grossly overstated and no additional spent fuel storage space is required prior to the middle 1980s at the earliest.

a. Expansion of spent fuel capacity at Dresden was found by the Staff to be sufficient to assure full core dis-charge capability through 1984 and normal refueling through 1987 for the Dresden units without transshipment.

Environmental Impact Appraisal Relating to Modification To The Spent Fuel Pool (Jan. 30, 1978) p. 3.

b. Expansion of spent fuel capacity at Quad Cities was found by the Staff to be sufficient to assure full core discharge capability through 1985 and normal refueling through 1988 for the Quad Cities units without trans-shipment. Environmental Impact Appraisal Relating to

7 Modification To The Spent Fuel Pool (Jan. 30, 1978) p. 3.

Respectfully submitted,

/*

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"AnthonyZ./Roid$ man Natural Msources Defense Council 917 15th Street, N.W.

Washington, D.C. 20005 (202)737-5000 Dated: December 28, 1978 s

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UNITED STATES OF AMERICA ' g7 $

NUCLEAR REGULATORY COMMISSION

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In the Matter of  : Go a COMMONWEALTH EDISON CO., et al.  : Docket Nos. 50-237

50-249 (Amendments to Operating Licenses)  : 50-254 50-265 CERTIFICATE OF SERVICE

. I hereby certify that copies of NRDC AND CBE STATEMENT OF CONTENTIONS were mailed today, December 28, 1978, first class postage prepaid, to:

Secretary of the Commission Gary L. Milhollin, Esq.

U.S. Nuclear Regulatory Commission 1815 Jefferson Street Washington, D.C. 20555 Madison, Wisconsin 53711 Attention: Docketing and Service Mrs. Elizabeth B. Johnson Executive Legal Director Union Carbide Corporation U.S. Nuclear Regulatory Commission Nuclear Division Washington, D.C. 20555 P.O. Box X Oak Ridge, Tennessee 37830 Philip P. Steptoe Isham, Lincoln & Beale Dr. Quentin J. Stober One First National Plaza Fisheries Research Institute 42nd Floor University of Washington Chicago, Illinois 60603 Seattle, Washington 98195 Susan N. Sekuler Assistant Attorney General 188 W. Randolph Street Suite 2315 Chicago, Ill. 60601

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,,97 LAnthony Z. Roisman

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