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Category:Legal-Correspondence
MONTHYEARML0931001372009-11-0505 November 2009 E-mail from Ray P. Kuyler, Counsel for PSEG Nuclear in Response to Petitioner'S Request for Extension of Time to File a Request for Hearing and Petition to Intervene ML0931001452009-11-0404 November 2009 Letter from Alex Polonsky, Counsel for PSEG Nuclear in Response to Nov. 2, 2009 Request for Extension of Time to File by Delaware Riverkeeper and the New Jersey Environmental Federation ML0931001552009-11-0404 November 2009 2009/11/04- Notice of Appearances of Vincent C. Zabielski, Kathryn M. Sutton, Alex S. Polonsky, and Raphael P. Kuyler, Counsel for PSEG Nuclear in the Salem 1 and 2 License Renewal Proceeding ML0931001532009-11-0404 November 2009 2009/11/04- Notice of Appearances by Vincent C. Zabielski, Kathryn M. Sutton, Alex S. Polonsky, and Raphael P. Kuyler, Morgan, Counsel for PSEG Nuclear in the Hope Creek License Renewal Proceeding ML0931001522009-11-0404 November 2009 2009/11/04- Letter from Alex Polonsky, Counsel for PSEG Nuclear Petitioner'S Request for Extension of Time to File a Request for a Hearing in the Hope Creek License Renewal Proceeding ML0931006172009-11-0202 November 2009 2009/11/02- Letter to Chairman Jaczko from Jane Nogaki, Nj Environmental Federation Requesting a 60 Day Extension to File a Hearing Request in the Hope Creek and Salem 1 and 2 License Renewal Proceedings ML0931006042009-11-0202 November 2009 2009/11/02 - Email from Fred Stein, Maya K. Van Rossum, Delaware Riverkeeper Requesting a 60 Day Extension to File a Request for Hearing in the Hope Creek and the Salem 1 and 2 License Renewal Proceeding ML0309700872003-03-25025 March 2003 Rothschild Inc.'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period February 1, 2003 - February 28, 2003 ML0234003322002-12-0606 December 2002 Memorandum from Emile L. Julian to Recipients of Letter Dated 12/04/02 from Annette L. Vietti-Cook to Norm Cohen Regarding DD-02-03 ML19029A8491981-02-17017 February 1981 02/17/1981 Certificate of Service on Copies of Licensee'S Response to Briefs in Support of Exceptions of Lower Alloways Creek Township and Mr. and Mrs. Alfred C. Coleman, Jr ML19029A8531980-11-30030 November 1980 11/30/1980 Legal Correspondence Intervenors' Exception to Initial Decision of October 27, 1980 ML19029A8851980-05-13013 May 1980 Certificate of Service of Copies of Licensee'S Request for Extension of Time & Response to NRC Staff Motion for Extension of Time & Licensee'S Proposed Transcript Corrections for the Evidentiary Hearings of 3/28-29/1980. ML19029A8861980-05-0202 May 1980 05/02/1980 Legal Correspondence Delaware'S Corrections of Transcript ML19029A8781980-04-10010 April 1980 04/10/1980 Legal Correspondence Licensee'S Response to Licensing Board Question 5 on 'Gross Loss of Water' from the Salem Spent Fuel Pool ML19029A8811980-04-0909 April 1980 04/09/1980 Legal Correspondence Submittal of Technical Report of Dr. Richard E. Webb in Response to ASLB Order of February 22, 1980 ML19029A8791980-04-0909 April 1980 04/09/1980 Legal Correspondence Written Testimony and Qualifications of Dr. David B. Fankhauser, in Response to ASLB Order of February 22, 1980 ML19029A8821980-04-0707 April 1980 04/07/1980 Legal Correspondence Intervenors' Inability to Prepare Written Testimony in Requisite Time to Most Recent Question Posed by Board ML19029A7781979-12-13013 December 1979 Informing Licensee'S Installation Procedure for Increased Capacity Spent Fuel Racks Has Been Submitted ML19029A7641979-08-31031 August 1979 Licensee'S Response to Motion for Reconsideration of Colemans' Contention No. Thirteen ML19029A7651979-08-31031 August 1979 Certify Copies of Licensee'S Response to Motion for Reconsideration of Coleman'S Contention No. 13 & Licensee'S Response to Motion to Re-open Coleman'S Contention 2 & 6 for Receipt of Newly Discovered Evidence. ML19029A7551979-08-22022 August 1979 Unit #1 - Intervenors', Coleman, Response to Boards Question Number Four: Was TMI a Class Nine Accident? ML19029A7601979-08-10010 August 1979 Applicant'S Request for an Extension of Time to Respond to Intervenors' Motion to Reopen Coleman'S Contentions Two & Six for Receipt of Newly Discovered Evidence & Motion for Reconsideration of Dismissal of Coleman'S Contention No. 13. ML19029A8181979-06-26026 June 1979 06/26/1979 Licensee'S Answer to Motion by Intervensors, Coleman, to Compel Supplementation of Answers to Interrogatories by Licensee ML19029A8211979-06-25025 June 1979 Intervenor Township of Lower Alloways Creek Response to NRC Staff Objection to Board Question ML19029A8231979-06-18018 June 1979 Licensee'S Response to NRC Staff Objection to Board Question and Motion for Extension of Time to File Response to Board Question Relating to Class 9 Accidents ML19029A8251979-06-14014 June 1979 Enclosed Brief on Behalf of Interveners in Opposition to Staff'S Objection to Board'S Consideration of Impacts of Class Nine Accident on Salem Spent Fuel Pool ML19029A8281979-06-12012 June 1979 06/12/1979 Legal Correspondence Response to the Atomic Safety and Licensing Board Order Dated April 18, 1979 ML19029A8301979-06-11011 June 1979 06/11/1979 Legal Correspondence Intervenor Township of Lower Alloways Creek Motion for Extension of Time to Respond to NRC Staff Objection to Board Question ML19029A8541979-04-26026 April 1979 04/26/1979 Legal Correspondence Professional Qualifications of Warren S. Nechodom ML19029A8631979-04-25025 April 1979 04/25/1979 State of New Jersey'S Outline of Cross-Examination ML19029A8561979-04-25025 April 1979 04/25/1979 Outline of Intervenors, Colemans, Cross-Examination; Contentions Two and Six ML19029A8571979-04-25025 April 1979 04/25/1979 Intervenors' Response to ASLBP Order Dated April 18, 1979 ML19029A8601979-04-25025 April 1979 04/25/1979 Legal Correspondence Outline of Cross-Examination of Evidence Submitted by the Nuclear Regulatory Commission ML19029A8611979-04-25025 April 1979 04/25/1979 Licensee'S Outline of Cross-Examination ML19029A8581979-04-25025 April 1979 04/25/1979 Legal Correspondence Outline of Areas of Cross-Examination ML19029A8641979-04-24024 April 1979 04/24/1979 Legal Correspondence Non-Proprietary Version of Exxon Nuclear Company'S Report on Fuel Storage Racks Corrosion Program ML19029A8671979-04-23023 April 1979 04/23/1979 Licensee'S Objections to Intervenors' Profferred Testimony ML19029A8731979-04-12012 April 1979 04/12/1979 Legal Correspondence Application for Stay by the Township of Lower Alloways Creek ML19029A8741979-04-11011 April 1979 04/11/1979 Legal Correspondence Intervenors Submit Their Proposed Direct Testimony to Be Elicited from Robert M. Crockett, Vice President for Fuel Supply, Public Service Electric and Gas Company ML19029A8771979-04-0707 April 1979 04/07/1979 Legal Correspondence Township of Lower Alloways Creek Objections to Prehearing Order and Requests for Revision of Order or Recertification ML19029A4421979-04-0202 April 1979 Letter Re Prehearing Conference to Fulfill the Requirements by the ASLBP for the Identification of Written Testimony and the Proposed Order or Proof ML19029A8471979-04-0202 April 1979 04/02/1979 Legal Correspondence Identification of Written Testimony to Be Filed ML19029A4541979-03-26026 March 1979 Interveners, Colemans' Memorandum in Opposition to the Licensee'S Motion for Summary Disposition, Interveners' Statement of Material Facts in Dispute Pertaining to Contention Two ML19029A4571979-03-20020 March 1979 Interested State of Delaware'S Answer to Licensee'S Motion for Summary Judgment ML19029A4591979-03-12012 March 1979 Intervenor Township of Lower Alloways Creek'S Answer to Motion for Summary Disposition ML19029A4601979-03-12012 March 1979 Request for Report & Correspondence for Constituent'S Inquiry ML19029A4641979-03-0707 March 1979 Intervenors, Colemans, Motion to Consolidate Prehearing Conference with Special Prehearing Conference for Purposes of Prehearing Order ML19029A4651979-03-0606 March 1979 Letter Re Resolution Which Was Approved & Adopted by Township Committee of Township of Pennsville ML19029A4691979-02-27027 February 1979 Public Service Electric & Gas Co. - Licensee'S Memorandum in Support of Its Motion for Summary Disposition ML19029A4731979-02-16016 February 1979 Resolution Opposing Storage of High Level Radioactive Wastes in Lower Alloways Creek Township 2009-11-05
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DOCKETED
.USN RC JUN 281979 UNITED STATES OF AMER!CA NUCLEAR REGULATORY COMMISSION BEFORE THE ATCMIC SAFETY AND LICENSING In the Matter of Docket No. 50-272 PUBLIC SERVICE ELECTRIC Proposed Issuance of Amendment
& GAS COMPANY' ) to Facility Operating License No. DPR-70 (Salem Nuclear Generating Station, Unit No. 1)
INTERVENOR TOWNSHIP OF LOWER ALLCWAYS CREEK RESPONSE TO NRC STAFF. OBJECTION T*o BOAED QUESTION FACTS On or about June 1 ,1979, the NRC Staff filed an Objection to the Board question #3 propounded by Order of the Atomic Safety and Licensing Board dated April 18, 1979.*
Question #3 provides in part:
"If an explosion or 'meltdown' occurred at Salem, to what extent would that affect the spent fuel pool?"
Apparently , the NRC Staff objection is to the above part of Question #3 in that it is conceived that an explosion or meltdown encompasses a Class 9 accident.
The objection of the NRC Staff is that the Commission's case :law and policy prohibit the consideration of Class 9 accidents by th.e applicant , the staff, or an adjudicatory board.
LEGAL ARGUMENT I. THE NRC STAFF'S OBJECTION TO THE BOARD QUESTION IS A PROCEDURE NOT AUTHORIZED BY PART 2 OF THE RULES OF PRACTICE The Rules provide no intenlocutory appeals may be taken from Orders of the presiding Officer*. Rule 2. 7 30 ( 10 CFR, Part 2).
The Board has the power to propound questions pursuant to an Order under the authority of Rule 2.718 (10 CFR, Part 2).
The NRC Staff in filing an objection to the Question propounded by the Board pursuant to an Order of the Board is in effect attempting to obtain a reconsideration of the Board's Order.
If the objection filed by the NRC Staff is to be treated as a Motion pursuant to Rule 2.730 (10 CFR, Part 2), then the procedure has not been properly followed in that no Affidavits or evidence has been submited in support of the Motion. It appears that the Board .has made Question #3 an issue in this contested proceeding. This is clearly authorized under Rule 2.760a (10 CFR, Part 2). If the NRC Staff considers Question #3 to be improper, then the appropriate procedure would be a motion for reconsideration of the Board's Order so that an Order might be entered removing Question #3 as an issue in the contested proceeding in the event the NRC Staff was successful in its application. The filing of an "Objection" does not appear to be in conformity with the Rules unless the "Objection" is to be treated as a motion. In the event it is treated as a motion, no Affidavits or evidence has been filed in support of the motion.
I -- --
- II. QUESTION #3 IS A PROPER QUESTION IN A CONTESTED PROCEEDING In the Matter of Offshore Power Systems, Inc. (Floating Nuclear Power Plants, ALAB-489, 8 NRC 194, 1978) it was clearly established that a Class 9 accident may be considered by an adjudicatory board in a contested proceeding. The language in that case which is particularly appropriate is as follows:
"From this the staff reasons that floating nuclear power plants pose environmental risks of a character not previously considered - risks
'outside. the parameters' (sic) of the original analysis which was the underpinning of the Proposed Annex -
and presumably not covered by the policies there announced . . . we find this staff argument a cogent one
. . . we agree with the staff that the
.Annex should not be read as extending to floating nuclear plants - a concept unknown when the Annex was put out as interim guidance . . "
In this context it is clear that the events at Three Mile Island and the concept of dense storage or reracking represent new events that were not in any way considered in the original licensing proceeding for Salem .1. It is therefore entirely within the Atomic Safety and Licensing Board discretion to propound Question
~* #3 and accept evidence on this question.
CONCLUSION The NRC Staff's Objection to Board Question #3 should be over ruled.
Respectfully/submitted,
.* . . ,-/_. 1(_'
( -_-__(_L,L(- ~(--"---L* ----
~ VALORE, JR., Special Nuclear Counsel for the Intervenor, Township of Lower Alloways Creek June_ 25, 1979
e
'
...
e UNITED STATES OF J\MEHICA NUCLEAR REGULATORY COMMISSION Before the Atomic Safety and Licensing Board In the Matter of PUBLIC SERVI <E ELECTRIC DOCKET NO.
& GAS CO.
(Salem Generating Station Unit #1)
CERTIFICATE OF SERVICE
.*.
I hereby certify that copies of Intervenor's Township of Lower Alloways Creek Response to NRC Objection to Board Question #3 in the above captioned matter have been served upon the attached list by deposit: in the United States mail at the post office in Northfield, N.J., with proper postage thereon, this 25th day of June , 1979.
'
CARL VALORE, JR., Spec1al Nuclear . !
Counsel for the Intervenor, the Township of Lower Alloways Creek Dated: June 25, 1979
,-
- Gary L. Milhollin, Esq. Richard Fryling, Jr., Esquire Chairman, Atomic Safety Assistant General Solicitor
& Licensing Board Public Service Electric &
1815 Jefferson Street Gas Company Madison, Wisccinsin 53711 80 Park Place Newark, N. J. 07101 Glen O. Bright Member, Atomic Safety Keith Ansdorff, Esquire
& Licensing Board Assistant Deputy Public Advocate U. S. Nuclear Regulatory Commission Department of the Public Advocate Washington, D. C. 20555 Division of Public Interest AdvocE P. O. Box 141 Dr. James C. Lamb, III Trenton, New Jersey 08601 Member, Atomic Safety &
Licensing Board Panel Sandra T. Ayres, Esquire 313 Woodhaven Road Department of the Public Advocate Chapel Hill, N. C. 27514 520 East State Street Trenton, N. J. 08625 Chairman, Atomic Safety and Licensing Appeal Board Panel Mr. Alfred C. Coleman, Jr.
U. S. Nuclear Regulatory Commission Mrs. Eleanor G. Coleman Washington, D. C. 20555 35 "K" Drive Pennsville, N. J. 08070 Chairman, Atomic Safety &
Licensing Board Panel Off ice of the Secretary U. S. Nuclear Regulatory Commission Docketing and Service Section Washington, D. C. 20555 U. S. Nuclear Regulatory CommissiG Washington, D. C. 20555
- Barry Smith, Esquire Of Eice of the Executive Legal Director June D. MacArtor, Esquire LI. S. Nuclear Regulatory Commission Deputy Attorney General Washington, D. C. 20555 Tatnall Building, P. O. Box 1401 Dover, Delaware 19901 Mark L. First, Esquire Deputy Attcirney General Mr. Lester Kornblith, Jr.
Department of Law & Public Safety Atomic Safety and Licensing Board Environmental Protection Section U. S. Nuclear Regulatory Commissi 36 West State Street Washington, D. C. 20555 Trenton; N. J. 08625
~lurk J. Wetterhahn, Esquire for Troy B. Conner, Jr., Esq.
1747 Pennsylvania Avenue, N. W.
Suite 1050
~ashington, D. C. 20006