Similar Documents at Salem |
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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARLR-N980595, Comment Supporting Proposed Rules 10CFR50,52 & 72 Re Changes,Tests & Experiments.Pse&G Supports Comments Submitted by NEI in Their Ltr1998-12-21021 December 1998 Comment Supporting Proposed Rules 10CFR50,52 & 72 Re Changes,Tests & Experiments.Pse&G Supports Comments Submitted by NEI in Their Ltr LR-N980588, Comment on Proposed Rule 10CFR50.65 Re Monitoring Effectiveness of Maint at Npps.Util Agrees with General Principle Behind Proposed Rulemaking,But However,Concerned That Proposed Rule Contain Language Open to Interpretation1998-12-14014 December 1998 Comment on Proposed Rule 10CFR50.65 Re Monitoring Effectiveness of Maint at Npps.Util Agrees with General Principle Behind Proposed Rulemaking,But However,Concerned That Proposed Rule Contain Language Open to Interpretation ML18106A8811998-09-15015 September 1998 Comment Opposing Draft NUREG-1633, Assessment of Use of Potassium Iodide as Protective Action During Severe Reactor Accidents. Believes That Discussion Contained in SECY-98-061 Should Be Included in Draft NUREG ML18106A8731998-09-15015 September 1998 Comment on Draft NUREG-1633 Re Assessment of Use of Potassium Iodide (Ki) as Protetive Action During Severe Reactor Accidents. Believes That NUREG Should Provide Balanced Discussion on Benefits & Risks of Use of Ki LR-N980284, Comment on PR-50 Re IEEE Std 603-1991 for Salem & Hope Creek Generating Stations.Lack of Adverse Comments to Draft RG Should Not Have Been Construed as Endorsement to IEEE 603-19911998-06-12012 June 1998 Comment on PR-50 Re IEEE Std 603-1991 for Salem & Hope Creek Generating Stations.Lack of Adverse Comments to Draft RG Should Not Have Been Construed as Endorsement to IEEE 603-1991 LR-N980149, Comment on Proposed Rule 10CFR50 Re Industry Codes & Stds. Comments Address Use of Engineering Judgment,Limitations on Use of Later ASME III Code Editions for Weld Leg Dimensions & Seismic Analysis1998-03-30030 March 1998 Comment on Proposed Rule 10CFR50 Re Industry Codes & Stds. Comments Address Use of Engineering Judgment,Limitations on Use of Later ASME III Code Editions for Weld Leg Dimensions & Seismic Analysis ML18102B4361997-07-0707 July 1997 Comment Opposing NUREG-1606, Proposed Regulatory Guidance Re Implementation of 10CFR50.59 (Changes,Tests or Experiments). Util Endorses Comments Submitted by Nuclear Energy Inst ML20132A8961996-12-0606 December 1996 Comment Supporting Pr 10CFR50, NRC Draft Ps on Restructuring & Economic Deregulation of Electric Utility Industry ML20084H9251995-06-0202 June 1995 Comment Opposing Proposed Change in State Cooperative Agreements Program Concerning NRC Intention to Reduce Scope of Work.Believes That NRC Should Maintain Environ Monitoring Program & Find Other Ways to Reduce Duplicative Svcs ML20134K5021995-02-24024 February 1995 Transcript of 950224 Enforcement Conference in King of Prussia,Pa Re C Vondra.Pp 1-136 ML20134K4971995-02-0808 February 1995 Transcript of 950208 Enforcement Conference in King of Prussia,Pa Re L Reiter.Pp 1-64 ML20134K4791995-02-0808 February 1995 Transcript of 950208 Enforcement Conference in King of Prussia,Pa Re V Polizzi.Pp 1-115 ML20134K4511995-02-0808 February 1995 Transcript of 950208 Enforcement Conference in King of Prussia,Pa Re Plant.Pp 1-93 ML20080G8321995-02-0606 February 1995 Comment Opposing Proposed Rule 10CFR50 Re Shutdown & low-power Operations for Npp.Encourages NRC to Reevaluate Regulatory Analyses in Light of Higher Costs.Concludes That Addl Rules on Shutdown & Low Power Operations Not Necessary ML20077L8631995-01-0303 January 1995 Comment Supporting Proposed Rules 10CFR2,51 & 54 Re NPP License Renewal.Util of Belief That Proposed Rev Reflect Positive Effort Towards Establishing Regulatory Process Requirements for Continued Operation of Nuclear Facilities ML20132B2281994-08-0202 August 1994 Transcript of 940802 Enforcement Conference in Salem,Nj W/Salem Senior Nuclear Shift Supervisor Involved in 940407 Event ML20067C1591994-02-17017 February 1994 Comments on NUREG/CR-5884 Re Analyses of Decommissioning for Ref PWR Power Station ML18100A5591993-08-26026 August 1993 Comment Opposing Proposed Rule Re Whistleblower Protection ML20126F2721992-12-21021 December 1992 Comment Endorsing Positions & Comments of NUMARC & BWROG Re Draft GL, Augmented Inservice Insp Requirments for Mark I & Mark II Steel Containments,Refueling Cavities & Associated Drainage Sys ML20091Q8661992-01-31031 January 1992 Comment Opposing Draft NUREG-1022,Rev 1, Event Reporting Sys,10CFR50.72 & 50.73,Clarification of NRC Sys & Guidelines for Reporting ML20072T2421991-04-11011 April 1991 Comment Re Proposed Change to 10CFR50.55A Re Inservice Testing of Containment Isolation Valves.Proposed Rule Should Be Revised to Allow Plants within Last 12 Months of Current Interval to Substitute Deferred Rv Shell Exams ML20235T1861989-02-24024 February 1989 Comment Supporting Proposed Rule 10CFR50 Re Ensuring Effectiveness of Maint Programs for Nuclear Power Plants, Extension of NRC Authority to BOP Portion of Plant & Misapplication of Adequate Protection Std of Backfit Rule ML20195H0331988-11-21021 November 1988 Comment on Proposed Rule 10CFR26 Re Fitness for Duty Program Which Includes Random Drug Testing.Util Strongly Favors 180- Day Period for Implementation of Rule & 360-day Implementation Period for Random Drug Testing ML20153F9681988-08-17017 August 1988 Comment Opposing Proposed Rule 10CFR50 Re Licensee Flexibility During Natl Crisis.Deferral of Issuance of Final Rule Until Proper Implementation Guidance Formulated Encouraged ML20154G1421988-04-20020 April 1988 Comment Opposing Proposed Rules 10CFR50 & 73 Re Policy Statement on Nuclear Power Plant Access Authorization Program.Nrc Should Establish Program Mutually Agreed Upon Between Union & Util,Per Hope Creek & Salem Programs ML20154G4601988-04-18018 April 1988 Comment Opposing Proposed Rule 10CFR50 Re Notification of Inspector Visits to Facility ML18093A6331988-02-0101 February 1988 Comment Supporting Proposed Rule 10CFR50 Re Proposed Policy Statement on Integrated Schedules for Implementation of Plant Mods ML20151B3641987-02-24024 February 1987 Comment Opposing Proposed Rule 10CFR50 Re Licensing of Nuclear Power Plants Where State &/Or Local Govts Decline to Cooperate in Offsite Emergency Planning ML20079N4271984-01-25025 January 1984 Response to State of DE 840120 Motion to Withdraw Petition for Leave to Intervene.Licensee Concurs in Motion.Dismissal of Proceeding Requested.Certificate of Svc Encl ML20079K9311984-01-20020 January 1984 Motion to Withdraw Petition for Leave to Intervene & Request for Hearing Re Extension of Time for Type a Test.Certificate of Svc Encl ML20078P6771983-11-0404 November 1983 Answer to State of DE Atty General 831021 Petition for Leave to Intervene & Request for Hearing on License Amend Re Inservice Integrated Leak Tests.Notices of Appearance & Certificate of Svc Encl ML20078M1551983-10-21021 October 1983 Petition for Leave to Intervene & Request for Hearing on Proposed Issuance of Amend to License DPR-70 Re Inservice Integrated Leak Tests.Affidavit of Mailing Encl ML18087A8331983-04-12012 April 1983 Petition for Order to Show Cause Why Util Should Not Be Restrained from Restarting Facility Until Qualifications for Operation Demonstrated at Public Hearing ML18087A8341983-04-11011 April 1983 Affidavit of DG Bridenbaugh Re Delay of Facility Restart. Full Review of safety-related Equipment Must Be Completed & Appropriate Changes Implemented.Prof Qualifications Encl ML20213E3601983-03-0808 March 1983 Testimony Before Subcommittee on Energy & Environ Re Plant Licensing Concerns ML18086A9691981-10-14014 October 1981 Affidavit Confirming Validity of Util 811009 Response to IE Insp Repts 50-272/81-15 & 50-311/81-14 ML20005B6831981-08-20020 August 1981 Petition for Review of Aslab 810717 Order,Permitting OL Amend,Allowing Installation of New Storage Racks & Increasing Pool Capacity.Notice of Appearance & Affidavit of Svc Encl.Related Correspondence ML20010C1481981-08-14014 August 1981 Response in Opposition to Lower Alloways Creek Township 810803 Petition for Review of ALAB-650.Petitioner Has Raised No Issue Which Warrants Commission Consideration.Certificate of Svc Encl ML20009H2221981-08-0303 August 1981 Petition Supporting Review of Aslab Decision.Case Involves Matter That Could Significantly Affect Environ,Public Health & Safety & Involves,Important Procedural Issues & Public Policy Questions.Certificate of Svc Encl ML18086A5181981-05-15015 May 1981 Answer Opposing AC Coleman 810504 Request for Stay of Initial decision,LBP-80-27,pending Appeal.Request Untimely & Fails to Meet Requirements for Issuance of Stay. Certificate of Svc Encl ML18085A8401981-02-17017 February 1981 Brief Supporting ASLB 801027 Decision Authorizing OL Amend to Permit Storage of 1,170 Spent Fuel Elements in Facility Spent Fuel Pool.All Exceptions Should Be Denied.Aslb Has Adequately Weighed Evidence.Certificate of Svc Encl ML18085A5231981-01-13013 January 1981 Findings of Fact & Conclusions of Law in Support of 801111 Exceptions to ASLB 801027 Initial Decision Re Applicant Proposed Expansion of Fuel Storage.Certificate of Svc Encl ML18085A4091980-12-0808 December 1980 Response to Intervenors Eg & a Coleman Motion for Extension Until 810131 to File Brief in Support of Exceptions.Opposes Motion But Would Not Object to 2-wk Extension.Certificate of Svc Encl ML18085A4081980-12-0404 December 1980 Appeal from ASLB Initial Decision Granting Util Right to Increase Spent Fuel Pool Storage Capacity.Nepa Requires Detailed Analysis of Safety & Health Problems Posed by Reracking.Certificate of Svc Encl ML19340D3431980-11-30030 November 1980 Request for Extension to 810131 to File Brief in Support of Exceptions to ASLB 801027 Initial Decision Re Spent Fuel Pool Proceeding.Certification of Svc Encl ML18085A2791980-11-20020 November 1980 Notice of Withdrawal of Appearance as Counsel for Intervenors Coleman.Intervenors Coleman to Remain Parties to Proceeding.Certificate of Svc Encl ML18085A2501980-11-11011 November 1980 Appeal from ASLB 801027 Initial Decision.Alleges Erroneous Finding of Facts Re Contentions 2 & 6,evaluation of Eia, Acceptance of Pasedag Testimony & Rejection of Benjamin Testimony.Counsel Withdrawal & Certificate of Svc Encl ML18085A2161980-11-0404 November 1980 Exceptions & Appeal from ASLB 801027 Initial Decision. Exclusion of as Benjamin of Sandia Labs Testimony Is Arbitrary Due to Relevant Evidence Re Oxidation That Could Propagate to Older Fuel.Certificate of Svc Encl ML20062J4921980-10-21021 October 1980 Addl Testimony Presented Before ASLB to Correct & Clarify 800710 Testimony Re Loss of Water from Spent Fuel Storage Pool ML18082A7101980-07-11011 July 1980 Reply Findings of Fact & Conclusions of Law in Form of Partial Initial Decision Substituting for Licensee 800613 Findings,In Response to ASLB 800509 Order & ASLB 800626 Question 5 on away-from-reactor Issues.W/Certificate of Svc 1998-09-15
[Table view] Category:PLEADINGS
MONTHYEARML20079N4271984-01-25025 January 1984 Response to State of DE 840120 Motion to Withdraw Petition for Leave to Intervene.Licensee Concurs in Motion.Dismissal of Proceeding Requested.Certificate of Svc Encl ML18087A8331983-04-12012 April 1983 Petition for Order to Show Cause Why Util Should Not Be Restrained from Restarting Facility Until Qualifications for Operation Demonstrated at Public Hearing ML20005B6831981-08-20020 August 1981 Petition for Review of Aslab 810717 Order,Permitting OL Amend,Allowing Installation of New Storage Racks & Increasing Pool Capacity.Notice of Appearance & Affidavit of Svc Encl.Related Correspondence ML20010C1481981-08-14014 August 1981 Response in Opposition to Lower Alloways Creek Township 810803 Petition for Review of ALAB-650.Petitioner Has Raised No Issue Which Warrants Commission Consideration.Certificate of Svc Encl ML20009H2221981-08-0303 August 1981 Petition Supporting Review of Aslab Decision.Case Involves Matter That Could Significantly Affect Environ,Public Health & Safety & Involves,Important Procedural Issues & Public Policy Questions.Certificate of Svc Encl ML18086A5181981-05-15015 May 1981 Answer Opposing AC Coleman 810504 Request for Stay of Initial decision,LBP-80-27,pending Appeal.Request Untimely & Fails to Meet Requirements for Issuance of Stay. Certificate of Svc Encl ML18085A4091980-12-0808 December 1980 Response to Intervenors Eg & a Coleman Motion for Extension Until 810131 to File Brief in Support of Exceptions.Opposes Motion But Would Not Object to 2-wk Extension.Certificate of Svc Encl ML18085A4081980-12-0404 December 1980 Appeal from ASLB Initial Decision Granting Util Right to Increase Spent Fuel Pool Storage Capacity.Nepa Requires Detailed Analysis of Safety & Health Problems Posed by Reracking.Certificate of Svc Encl ML19340D3431980-11-30030 November 1980 Request for Extension to 810131 to File Brief in Support of Exceptions to ASLB 801027 Initial Decision Re Spent Fuel Pool Proceeding.Certification of Svc Encl ML18085A2501980-11-11011 November 1980 Appeal from ASLB 801027 Initial Decision.Alleges Erroneous Finding of Facts Re Contentions 2 & 6,evaluation of Eia, Acceptance of Pasedag Testimony & Rejection of Benjamin Testimony.Counsel Withdrawal & Certificate of Svc Encl ML18085A2161980-11-0404 November 1980 Exceptions & Appeal from ASLB 801027 Initial Decision. Exclusion of as Benjamin of Sandia Labs Testimony Is Arbitrary Due to Relevant Evidence Re Oxidation That Could Propagate to Older Fuel.Certificate of Svc Encl ML18082A5481980-05-23023 May 1980 Proposed Corrections for 800430 Evidentiary Hearing Transcript.Certificate of Svc Encl ML18082A5281980-05-13013 May 1980 Proposed Corrections to Transcript of 800328-29 Evidentiary Hearings.Certificate of Svc Encl ML18082A5261980-05-13013 May 1980 Request for Extension Until 800528 to File Transcript Corrections.States No Objection to NRC Motion for Similar Extension.Transcript Not Yet Received in Licensee Newark,Nj Ofc ML19323A9571980-04-21021 April 1980 Response in Opposition to Webb,Fankhauser & Portion of NRC Testimonies Based on Class 9 Accident Scenarios.Testimony Beyond ASLB Jurisdiction & Should Not Be Admitted Into Evidence.Certificate of Svc Encl ML18082A5011980-04-18018 April 1980 Reply in Opposition to Licensee Response to ASLB 800222 Memorandum & Order,Question 5,re Spent Fuel Pool Gross Loss of Water.Urges to Strike Testimony W/Appropriate Sanctions ML18082A4991980-04-18018 April 1980 Motion to Strike Licensee 800410 Response to ASLB 800222 Memorandum & Order,Question 5,re Spent Fuel Pool Gross Loss of Water.Licensee Should Be Barred from Participation or Compelled to File Testimony Due to Dilatory Conduct ML18082A5021980-04-18018 April 1980 Response in Opposition to NRC Testimony of Wf Pasedag Re ASLB Question 5.Spent Fuel Pool Old Fuel Would Be Involved in Enlargement Case & Would Consequently Increase Radiological Effects.Certificate of Svc Encl ML19305D7371980-04-11011 April 1980 Comments in Opposition to Township of Lower Alloways Creek 800325 Request for Suspension of Issuance of OL Per 10CFR2.206.Urges Denial Due to Untimeliness of Petition & Inadequacy of Allegations Re Noncompliance W/Nepa Rules ML19323D1891980-04-10010 April 1980 Response to ASLB Question 5 Re Gross Loss of Water from Facility Spent Fuel Pool.Loss Will Have No Adverse Consequences on Public Health & Safety Due to Adequate Cooling Achieved in Facility.Prof Qualifications Encl ML19323D5131980-04-0909 April 1980 Forwards Re Webb Technical Rept,In Response to ASLB 800222 Order Re Consequences of Gross Water Loss from Spent Fuel Storage Pool.Certificate of Svc Encl ML19305E7281980-04-0909 April 1980 Response Enclosing DB Fankhauser Testimony in Reply to ASLB 800222 Order Re Consequences of Gross Water Loss from Spent Fuel Storage Pool.Certificate of Svc Encl ML19309A4931980-03-25025 March 1980 Request for Suspension or Moratorium on Issuance of OL for Facility,Pending Conclusion of ASLB Hearing on Safety of Spent Fuel Storage Pool at Unit 1.Notice of Appearance of Cj Valore on Behalf of Intervenor Encl ML18082A1391980-03-25025 March 1980 Intervenor Request for Suspension or Moratorium on Issuance of Ol.Issuance Would Permit Same Enlarged Spent Fuel Pool That Is Subject of Ongoing Hearing ML18082A1301980-03-19019 March 1980 Motion for 30-day Extension to File Testimony Re Consequences of Water Loss from Spent Fuel Storage Pool. Urges Postponement of 800422 Evidentiary Hearing, Accordingly.Notice of Appearance & Certificate of Svc Encl ML18081B0861980-02-14014 February 1980 Request for Taking Official Notice of White House 800212, Fact Sheet,President'S Program on Radwaste Mgt, Due to Relevancy of First Bullet,Page 2 & Third Bullet,Page 6.W/ Certificate of Svc & Fact Sheet ML18081A8881980-01-10010 January 1980 Opposition to Intervenors Coleman 791018 Request for Action Under 10CFR2.206.NRC Fulfilled Statutory Duty Per Endangered Species Act.No New Matters Raised by Intervenors Request ML18081A8171979-12-18018 December 1979 Opposition to Public Advocate of State of Nj 791106 Request to Reopen Intervenors Coleman Contention 9.Appeal Is Proper Procedure If Intervenors Dissatisfied W/Aslb Initial Decision.Certificate of Svc Encl ML18081A7471979-11-13013 November 1979 Response in Opposition to Public Advocate of State of Nj 791030 Supplemental Argument Supporting Motion for Reconsideration of Colemans Contention 13.Colemans Failed to Demonstrate Relevance of Claim.Certificate of Svc Encl ML18081A6971979-10-30030 October 1979 Supplemental Argument on Behalf of Intervenors Coleman to Reopen Coleman Contention 13 Re Reracking of Spent Fuel Pool.Actual Figures of Radiation Exposure During Reracking of Peach Bottom Nuclear Station Never Received ML18081A4181979-10-18018 October 1979 Petition Seeking NRC Issuance of Show Cause Order for Suspension &/Or Revocation of Ols.Operation of Facility Would Threaten Local Existence of short-nosed Sturgeon. Affidavit & Certificate of Svc Encl ML18081A4871979-10-18018 October 1979 Seeks Show Cause Order & Suspension or Revocation of OL for Unit 1 & Stay or Licensing & Suspension or Revocation of CP for Unit 2.No Eia Performed Re Impact on Endangered Fish Species.Certificate of Svc Encl ML18079A9711979-09-20020 September 1979 Applicant Comments on Request of Intervenors Coleman for Issuance of Order to Show Cause for Stay ML18079B0891979-08-31031 August 1979 Opposes Intervenors Coleman 790801 Request That ASLB Reopen Record for Newly Discovered Evidence Re Contentions 2 & 6. Insp Document Has No Relevance & No Significance to Proceeding ML19249B8201979-08-31031 August 1979 Petition to Amend 790802 Motion for Issuance of Show Cause Order & Stay of Licensing Procedure.Adds Addendum 7A & Contentions 8-10.Certificate of Svc Encl ML19209C3871979-08-31031 August 1979 Motion,Submitted by Intervenors Coleman,That NRC Amend Request for Order to Show Cause & Stay Licensing.Seek Addl Contentions Re Cost/Benefit Analysis,Seismic Analysis & Class 9 Accidents ML18081A4141979-08-31031 August 1979 Seeks Denial of Intervenors Coleman 790802 Motion for Reconsideration of Contention 13 Re Release of Radioactive Matl.No Justification for Late Filing.Criteria for Compliance W/Operation Objectives Defined in 10CFR50,App I ML18079B1161979-08-29029 August 1979 Request by Intervenors Coleman That ASLB Accept Addl Argument on ASLB Question 4 Re Consideration of Class 9 Accidents.Nrc Admits That TMI Accident Was Class 9. Certificate of Svc Encl ML18079B1151979-08-27027 August 1979 Response to ASLB Question 4 Re Class 9 Accidents.Tmi 790328 Accident Was Class 9,constituting Successive Failures of Operator Procedures & Equipment.Testimony in Present Proceedings Requires Wide Latitude.Certificate of Svc Encl ML18079B0881979-08-21021 August 1979 Response to ASLB Question 4,submitted on Behalf of Intervenors Coleman.Alleges TMI Accident Was Class 9 Accident.Accident Posed Significant Risk to Health & Safety of Population & Environ.Certificate of Svc Encl ML18079B0611979-08-20020 August 1979 Responds to Question 4 of ASLB 790710 Order.Forwards C Kepford Rept on TMI Accident.Prof Qualifications & Certificate of Svc Encl ML18081A4111979-08-10010 August 1979 Requests That ASLB Order Extension Until 790831 for Response to Intervenors Coleman Request to Reopen Consideration of Contentions 2 & 6 ML18079B0461979-08-0303 August 1979 Forwards Re Webb 790723 Rept, TMI Accident:Was It Class 9 Accident, in Response to ASLB 790710 Question 4 ML19208C3681979-08-0202 August 1979 Requests Issuance of Order to Show Cause & Stay of Licensing Per 10CFR2.202 & 2.206.NRC Has Failed to Act on Info Re PA-NJ-MD Grid,Cost/Benefit Analysis,Expansion of Spent Fuel Pool & Lessons Learned Re TMI ML18079B0851979-08-0202 August 1979 Request by Intervenors Coleman That ASLB Reconsider Dismissal of Contention 13.Intervenor State of Nj Supports Motion.Util Is Obliged Per 10CFR50 to Explore Alternatives to Spent Fuel Pool Expansion ML19225D1441979-08-0202 August 1979 Request That NRC Issue Order to Show Cause & Request to Stay Licensing.Requests Intervenor Status.Submits List of Contentions & Partial List of Resouce Documents.Certificate of Svc Encl ML18079B0871979-08-0101 August 1979 Request by Intervenors Coleman That ASLB Reopen Record Re Contentions 2 & 6.Intervenor State of Nj Supports Motion. Experiences at Northern State Power Co Are Pertinent to Proceedings ML18079A7621979-07-0909 July 1979 Response Submitted by Intervernor Township of Lower Alloways Creek to NRC Motion to Strike Portions of Re Webb & EA Gulbransen Testimony Re ASLB 790418 Order. Affidavit of EA Gulbransen & Certificate of Svc Encl ML18079A8311979-07-0606 July 1979 Request Submitted by Util for Denial of Intervenors Coleman 790625 Request for Reconsideration of Dismissal of Coleman Contention 7.NRC Must Remand Matter to Aslb. Certificate of Svc Encl ML18079A8291979-07-0606 July 1979 Request Submitted by Util for Denial of Intervenors Coleman 790626 Request That ASLB Compel Licensee to Suppl Responses to Interrogatories 1,3 & 6.Questions Have No Relation to Grid Strap Problem 1984-01-25
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I UNITED STATES OF AMERJ:CA NUCLEAR REGULATORY COMMISSION Before the Atomic Safety and Licensing Board In the Matter of )
)
PUBLIC SERVICE ELEcTRIC AND GAS . ) Docket No. 50-272 COMPANY, et al. ) (Proposed Issuance of*
) Amendment to Faci.lity (Sa.lem Nuclear Generating ) Operatinq License Station, Onit l) ) No. DPR-70)
LICENSEE'S RESPONSE TO "MOTION FOR RECONSIDERATION OF DISMJ:SSAL OF COLEMANS' CONTENTION NO. 9" On November 6, l979, the Public Advocate of the State of New Jersey, counsel for Mr. and Mrs. Alfred E. Coleman, Jr., intervenors in the captioned proceeding, moved to reopen reconsideration of their Contention 9 which had previously been dismissed by the Atomic Safety and Licensing Board as a result of a motion for summary disposition filed by the Licensee, Public Service Electric and Gas Company, et 1/
a l . - In the instant motion, the Public Advocate asserts that "it is patently evident that inadequate consideration has been given the storage of spent fuel at Salem No *. l at the*pools of other reactors." The Public Advocate asks that this motion be viewed in conjunction with the pending motion filed by the Colemans seeking to reopen Contention See the Atomic Safety and Licensing Board's' Order dated April 30, 1979.
' 't
- -* 13. As e e discussed below, Licens.ee opposes the motion for 2/
reconsideration of Contention 9.-
Two points should be made by way of introduction.
Counsel for the Col.emans has now filed .a number of motions over the past severa.l months which cover essentia.l.ly the same ground, chall.enginq the Atomic Sa£ety and Licensing Board's ruling on the contentions to be considered during the evidentia:ry phase of this proceeding. That order was issued some eight months ago. These pleadings are, in reality, merely argument appropriate, if at a.ll, for pro-posed findings of fact and conclusions of law. The litiga-tion before this Board should quickly be brought to an end and the procedures required by 10 C~F.R. §2.754 initiated.
I£ the Colemans, as represented by the Public Advocate, are sti.ll dissatisfied with the Board's Initial Decision in this matter, then appropriate appellate avenues exist. As a general matter, the arguments raised by the Public Advocate appear to arise from matters already adequately ventilated
_:y on the record.
_y To avoid undue repetition, Licensee incorporates by reference nLicensee's Response to Motion.for Recon-
.sideration of Colemans' Contention No. Thirteen,"
dated August 31, 1979; "Licensee's Response to Motion to Reopen Coleman's Contentions Two and Six for Receipt of Newly Discovered Evidence," dated Auqust 31, 1979; and nLicensee's Response to 'Supplemental Argument in Support of Motion for Reconsideration of Dismissal of Colemans' Contention Number Thirteen,'" dated Noveinber 13, 1979.
It is also.surprising that at this stage of the proceed-ing that the Public Advocate would seek to gloss over the distinction between the work product of the NRC (Ft. _jJ cont. on next page)
- .J -
The Atomic.afety and Licensing Appe. Boaz"d has re-*
peatedly stressed the- obligation of attorneys appearing before the Nuclear Regulatory Commiss.ion to be completely candid. Tennessee Valley Authority (Hartsville Nuclear Plant, Units lA, 2A, U and 2B), ALAB-409, 5 NRC 1391, 1395-6 (1977); Public Service Company of Oklahoma (Black Fox Station, Units l and 2), ALAB-508, 8 NRC 559, 552. (l.978.) *.
§!!. also Louisiana Eower & Light Company* . (Waterford Steam Electric Station, Unit 3), ALAB-121, 6 AEC319, 320 (1973).
Previously, in this proceeding, counsel for the Colemans has been c:riti.cized by a member of the Boazd for taking material
' _y out of context. Even more recently, the Staff has noted "gross factual inaccuracies" in the azguments of counsel for the Colemans
...1/ cont.
Staff and the decisional record before* this Licensing Board... On p. 2 of its motion, the Public Advocate states that "the NRC Staff evaluation of alternatives was essen-tially completed on or before January 15, 1979, when it
. issued its Safety Evaluation/Environmental Impact Ap-praisal* * * * * "and that "[o]bviously, no consideration whatsoever can have been given by the Staff to events
. which transpired after issuance of its January report. 11 Such an assertion is factually incorrect. Substantial testimony regar~ing alte::natives has been given by the Staff during the course Of the hearing. Moreover, in the
- final analysis, it is the Board's review of the issues be-fore it, rather than the contents of any Staff document, which is of importance. ~'e.g., 10 C.F.R. §51.52(1) (3).
-1J Order dated April 30, 1979, Separate Opinion of Lester Kornblith, Jr., at 35 *
...2./ NRC Staff Response to Intervenor Colemans' Supplemental Argument in Support of Motion-for Reconsideration of Dis-missal of Colemans' Contention Number 13 dated November 19, 1979 at 6. See also "Licensee's Response -.to Supplemental Argument in Support of Motion for Reconsideration of Dis-
. missal of.colemans' Contention No. 13," dated November 13,
In the instant pleadinq, at the footnote on paqe l, the implication is left that the Licensee, as well as the Staff, made an express solicitation of a further submission by the Colemans regardinq additional argument in s~pport of the Colemans 1 motion regardinq Contention 13. In support of
- this. proposition, counsel for the Colemans cites p. 4, line 8 of Licensee's Response to Motion for Reconsideration of Colemans' Contention 13. Reference to the cited paqe and line shows that the only~ po.ssible submission
- suqqested relates to the affidavit of Robert Douqlas which was beinq submitted.tC the Board for incorporation in the record.
Thus, contJ:ary to the assertion of counsel for the Colemans, the Licensee is utilizinq no "disenqenuous [sic] argumentative tactic."
In his argument in support of his motion at paqe 5, counsel cites Kansas Gas & Electric Company (Wolf Creek Generating Station, Unit 1), ALAB-462, 7 NRC 320, 338 (1978),
as standinq. for the proposition that "[t]he motion should be granted as it is both timely and addressed to a significant safety and environmental issue." Reference to the cited Appeal Board decision indicates that the third element necessary for the granting of a motion to reopen the record, discussed in the same paragraph in the Wolf Creek decision, has been omitted by counsel. With reqard to the third test, the Appeal Board stated:
[. .*
Beyond that, it must be established that "a different result would have been reached initially had [the material submitted in support of the motion]. been considered.n Northern Indiana Public Service Co. (Bailly Generating Station, Nuclear-l),
ALAB-2.27 I 8 AEC 416 I 418 ( 1.97 4)
- Failure of the Colemans to even acknowledge this element falls far short of the candor required of attorneys. before the Nuclear Regulatory Commission. See 10 C.F.R. §2.713.
In any event, nothi.I?-g has been presented in the latest motion which would requir~ further.consideration of alter-*
natives. As already discussed in Licensee's Response to Motion for Reconsideration of Colemans' Contention No.
Thirteen dated August 31, 1.979, sufficient time was availa-ble during discovery to eXplore all the factors which the Public Advocate now seeks to raise. Moreover, contrary to the erroneous impression which is sought to be left by counsel for the Colemans, at the July 10-ll, 1979 evidentiary session, the parties were permitted to examine Licensee's witnesses with regard to reduction in the number of fuel elements to be discharged and other developments relevant to
_y the proceeding.
- As previously mentioned, at most, this brief presents argument appropriate to a party's proposed findings of fact and conclusions of law; nothing has been presented which would require an additional evidentiary session or the admission of a new contention at this time. The Colemans
__§/ See, e.g., Tr *. 1107-14.
e -*~
have simply not met their burden of proof wi.th regard to the instant motion. 10 C.F.R. §2.732~
As a final matter, the Colemans' argument appearing on pp. 4-5 of the,ir motion is a ~ sequitur. On p. 4 it is stated that "[o]nJ.y the Colemans.have endeavored to fully explore. the feasibility of reliance upon the combined capacity of the Salem One and Two spent fuel pools to satisfy the storage needs of this utility II In the next sentence they argue that their "advocacy of this point is severely hampered if not rendered wholly illusory * *
- by the Board's April 1979 dismissal of its Contention dealing with use of other reactors' spent fuel pools." If they have been permitted to pursue this issue during the course of the proceeding, as they apparently concede and as the record will reflect they were, i t is not possible for them to claim their advocacy is "rendered wholly illusory." In any event, it was this Board's unanimous ruling that the Colemans had failed to present a material issue of fact to be heard in .
reply to the Licensee's motion for summary disposition. The Colemans had adequate opportunity for discovery and to respond to that motion. They were assisted by counsel and employed the services of technical consultants and still*
were unable to prevent dismissal of Contention 9.
For the above stated reasons, the instant motion for reconsideration should be denied.
Respect£ully submitted, CONNER, MOORE & CORBER Mark J. Wetterhahn Counsel for the Licensee December 18, 1979
~ITED. STATES OF AMERICA ,
NUCLEAR REGtnATORY COMMISSION e
~ __.,.--- .
Before the Atomic Safety and Licensing Board In the Matter of )
}
PUBLIC SERVICE ELECTRIC AND GAS ) Docket No. 50-272 COMPANY, et al. ) (Proposed Issuanc::e of
) Amendment to Facility (Salem Nuclear GeneJ:ating ) Operating License Station, Unit l} * )* No
CERTIFICATE OF SERVICE I hereby certify that copies of "Licensee's Response to 'Motion for Reconsideration of Dismissal of Colemans' contention No. 9,'" dated December 18, 1~79 in the Cc_Lpt~oned matter, have been served upon the following by deposit in the United States mail this 18th day of December, 1979:
Gary L. Milhollin, Esq. Chairman, Atomic Safety and Chairman, *Atomic Safety Licensing Board Panel and Licensing Board U.S. Nuclear Regulatory
.1815 Jefferson Street Commission
.Madison, Wisconsin 53711 Washington, D.C. 20555 MI:. Frederick J. Shon Janice :~roore, Esq.
Member, Atomic Safety and Office of the Executive Licensing Board Panel Legal Director U.S. Nuclear Regulatory U.S. Nuclear Regulatory Collliili,ssion Commission Washington, D.C. 20555 Washington, D.C. 20555 Dr. James C. Lamb, III Richard Hluchan, Esq.
Member, Atomic Safety and Deputy Attorney General Licensing Board Panel Department of Law and
- 313 Woodhaven Road Public Safety Chapel Hill, N.C. 27514 Environmental Protection Section Chairman, Atomic Safety and 36 West State Street Licensing Appeal Board Panel Trenton, N.J. 08625 u.s. Nuclear Regulatory Commission Washington, o.c. 20555
\
e
.Richard Fryling, Jr., Esq. Carl Valore, Jr., Esq.
Assistant General Solicitor Valore, McAllister, Aron Public Service Electric & Westmoreland
& Gas Company Mainland Professional Plaza 80 Park Place P. O. Box 175 Newark, N. J. 07101 Northfield, N. J. 08225 Keith Onsdorff, Esq. Office of the Secretary Assistant Deputy Public Advocate Docketing and Service Section Department of the Public Advocate U.S. Nuclear Regulatory Division. of Public Interest Commission Advocacy. Washington, D. c. 20555 Post Office Box 141 Trenton, N. J. 08601 June o. MacArtor, Esq.
Deputy Attorney General Sandra T. Ayres, Esq. Tatnall Building, P. o. Box 1401 Department of the Public.,Advocate Dover, Delaware 19901 520 East State Street Trenton, N. J. 08625 Mr. AJ.fJ:ed c. Coleman, Jr.
Mrs. Eleanor G. Coleman 35 "K" Drive Pennsville, New Jersey 08070