Petition to Intervene by Morongo Band of Mission Indians. Proposed Transmission Lines Will Adversely Affect Indians' Use of Reservation Lands.Notice of Appearance & Certificate of Svc EnclML19274F032 |
Person / Time |
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Palo Verde |
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Issue date: |
05/11/1979 |
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From: |
Quesenberry S CALIFORNIA INDIAN LEGAL SERVICES |
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To: |
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Shared Package |
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ML19274F031 |
List: |
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References |
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NUDOCS 7906080225 |
Download: ML19274F032 (11) |
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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20217E1551999-09-28028 September 1999 Comment Supporting Pr 10CFR50 Re Elimination of Requirement for Licensees to Revise ISI & IST Programs Beyond Baseline Edition & Addenda of ASME B&PV Code ML17313B0651999-07-30030 July 1999 Comment on Draft Rg DG-1076, Service Level I,Ii & III Protective Coatings Applied to Npps. ML17313B0161999-07-0101 July 1999 Comment on Draft Rg DG-1074, SG Tube Integrity. ML20196K5631999-06-29029 June 1999 Comment Supporting Proposed Rule 10CFR50.55a Re Elimination of 120-month Requirement to Update ASME Code ISI & Inservice Testing Program ML20207D1591999-05-20020 May 1999 Comment on Proposed Rules 10CFR21,50 & 54 Re Use of Alternative Source Terms at Operating Reactors ML17313A9791999-05-20020 May 1999 Comment Opposing Draft Reg Guide DG-1084, Qualification & Training of Personnel for Nuclear Power Plants. as General Comment,Util Believes That Many of Proposed Changes Will Limit Ability to cross-train Mgt Level Personnel ML20205A4271999-03-18018 March 1999 Comment on Petition for Rulemaking PRM-50-64 Which Requested Greater Clarification by NRC Re Possible Financial Obligations of NPP Licensees as Reflected in NRC Final Policy Statement on Restructuring & Economic Deregulation ML17313A8521999-03-0505 March 1999 Comment Supporting Proposed Change to NRC Enforcement Policy.Suggested Rewording of Sections Provided ML17313A8191999-02-24024 February 1999 Comment Supporting Secy 99-007, Recommendation for Reactor Oversight Process Improvements, & Comments Provided by NEI & Regional Utility Group Iv.Offers Comments on NRC Approach to Using Performance Indicators in Assessment Process ML20198J4031998-12-11011 December 1998 Comment Opposing Proposed Rule 10CFR50 Re Requirement for Monitoring Effectiveness of Maint at NPPs ML20217B9761998-04-0909 April 1998 Comment Re Draft RG DG-1029, Guidelines for Evaluating Electromagnetic & Radio-Frequency Interference in Safey-Related Instrumentation & Control Sys ML20216A9091998-04-0303 April 1998 Comment Opposing Proposed Rule 10CFR50.55a Re Industry Codes & Stds ML17313A3361998-03-27027 March 1998 Comment Opposing Proposed GL Re Lab Testing on Nuclear-Grade Activated Charcoal. Believes That Proposed 60 Day Implementation Schedule Would Severely Challenge Resources of Limited Number of Qualified Vendors ML20217E8781998-03-27027 March 1998 Comment Supporting Proposed GL, Lab Testing of Nuclear- Grade Activated Charcoal ML17313A2511998-03-0303 March 1998 Comment on Proposed GL 98-XX Re Yr 2000 Readiness of Computer Sys at Npps. ML20203L5521998-02-25025 February 1998 Forwards Comments on Draft Reg Guide DG-5008, Reporting of Safeguards Events ML20202E4251998-01-30030 January 1998 Comment on Draft RG DG-1070, Sampling Plans Used for Dedicating Simple Metallic Commercial Grade Items for Use in Npps. Draft RG Should Be Revised to Clarify That Alloy Analyzer Can Be Used Consistent W/Guidance in EPRI NP-5652 ML20199E0871998-01-17017 January 1998 Comment Opposing PRM 50-63A by Pg Crane Re Amending Emergency Planning Regulations to Require Consideration of Prophylactic Use of Potassium Iodide for General Public ML20202G4461997-12-0101 December 1997 Comment on Proposed Final Rule 10CFR50.Licensee Requests That Effective Date Be Delayed from 980101 to 0601,in Order to Provide Enough Time to Request & Obtain NRC Review of Exemption from Rule ML20212D1391997-10-17017 October 1997 Comment on Pr 10CFR55 Re NUREG-1021,Interim Rev 8, Operator Licensing Exam Stds for Power Reactors ML17312B4241997-04-23023 April 1997 Comment Supporting Draft Rg DG-1068 (Proposed Rev 3 to Rg 1.134, Medical Evaluation of Licensing Personnel at Npps) ML20134J9671997-02-0606 February 1997 Comment Supporting Proposed Rule 10CFR50, Draft Policy Statement on Restructuring & Economic Deregulation of Electric Util Industry ML20134N2521996-11-14014 November 1996 Comment on Draft RG DG-1012,proposed Rev 3 to RG 1.8, Qualification & Training of Personnel for Npp ML20117E3871996-08-0707 August 1996 Comment Supporting Proposed Rule 10CFR26 Re Mod to fitness-for-duty Program Requirements ML20113C6981996-06-24024 June 1996 Comment Supporting Proposed Rule 10CFR50, Financial Assurance Requirements for Decommissioning Nuclear Power Reactors. Cautions NRC Not to Adopt Rules That Are Too Restrictive & Could Lead to Premature Decommissioning ML20117P1261996-06-24024 June 1996 Comment on Proposed Rule 10CFR50, Financial Assurance Requirements for Decommissioning Nuclear Power Reactors. Urges NRC to Approach Rulemaking Re Decommissioning Costs in Manner That Will Facilitate Federal Legislative Solution ML20095A8461995-11-28028 November 1995 Comment on Petition for Rulemaking PRM-50-62 Re Proposed Changes to 10CFR50.54.Util Endorses Industry Petition & Response Provided by NEI ML17311B2931995-11-27027 November 1995 Comment Opposing Draft NUREG/CR-6354, Performance Testing of Electronic Personnel Dosimeters. ML17311B1601995-08-31031 August 1995 Comment Opposing Review of Revised NRC SALP ML20087H7241995-08-16016 August 1995 Comment Opposing Proposed Rule 10CFR2 Re Comment on Revision of NRC Enforcement Policy ML20087H7501995-08-0404 August 1995 Comment on Proposed Rule 10CFR52 Re Std Design Certification for ABWR Design & Std Design Certification for Sys 80+ Design ML20087H7331995-08-0404 August 1995 Comment on Proposed Rule 10CFR52 Re Standard Design Certification for ABWR Design & Standard Design Certification for Sys 80+ Design.Concurs w/ABB-CE Comments & NEI Recommendations ML17311B0071995-06-27027 June 1995 Comment on Proposed Review of NRC Insp Rept Content,Format & Style. Insp Detail Should Be Brief & Ref Previous Rept by Section or at Min IR Number ML20083N5031995-05-0505 May 1995 Comment on Proposed Rev to 10CFR50,app J, Primary Reactor Containment Leakage Testing for Water-Cooled Power Reactors. Proposed Rev Will Result in Highly Efficient Regulation ML20082P7461995-04-19019 April 1995 Comment Supporting Proposed Rules 10CFR170 & 171 Re Proposed Revs of NRC Fee Schedule for FY95 in Fr ML20082H0971995-04-10010 April 1995 Draft Policy Statement Re Freedom of Employees in Nuclear Industry to Raise Safety Concerns W/O Fear of Retaliation ML20081B5721995-03-0808 March 1995 Motion of Plains Electric Generation & Transmission Cooperative,Inc to Withdraw,W/Prejudice,Petition for Leave to Intervene,Request for Finding of Significant Change & for Antitrust Hearing & Comments.* W/Certificate of Svc ML17311A6691995-02-0202 February 1995 Comment Supporting Draft Rg DG-8014 (Proposed Rev 3 to Rg 8.13, Instruction Concerning Prenatal Radiation Exposure) ML20078H0671995-01-20020 January 1995 Comment Supporting NUMARC Position on Proposed Rules 10CFR20,30,40,50,51,70 & 72 Re Radiological Criteria for Decommissioning of Lands & Structures ML20077M5471995-01-0404 January 1995 Comment Opposing Proposed Rule 10CFR50 Re Shutdown & low-power Operations for Nuclear Power Reactor Proposed Rule ML17311A2461994-08-25025 August 1994 Comment on Draft Reg Guide (DG-1031), Monitoring Effectiveness of Maint at Npps. Term Maint Preventable Failure Needs to Be Defined & Compared to Term Maint Preventable Functional Failure. ML17310B1911994-04-12012 April 1994 Petition to Intervene of Public Utility Commission of Texas. W/Certificate of Svc ML17310B2041994-04-12012 April 1994 Petition to Intervene of Public Utility Commission of Tx ML20062M4141993-12-27027 December 1993 Comment Supporting Petition for Rulemaking PRM-21-2 Re Procurement of Commercial Grade Items ML20056G3351993-08-27027 August 1993 Comment Opposing Proposed Rule 10CFR2 Re Review of 10CFR2.206 Process ML17306B2461993-01-15015 January 1993 Comment Supporting in Part,Draft Reg Guide DG-1020, Monitoring Effectiveness of Maint at Npps. ML17306A9571992-09-0808 September 1992 Comments on Proposed Rev to Staff Technical Position on Radwaste Classification.Supports Rev ML20099E0621992-07-29029 July 1992 Comment Opposing Proposed Rule 10CFR50.63, Loss of All AC Power ML20090F9661992-03-0909 March 1992 Comment Supporting Proposed Rule 10CFR50 & 52 Re Training & Qualification of Nuclear Power Plant Personnel ML17306A4501992-02-0404 February 1992 Comment on Draft Reg Guide Task DG-8007 (Proposed Rev 1 to Reg Guide 8.7) Re Instructions for Recording & Reporting Occupational Radiation Exposure Data 1999-09-28
[Table view] Category:PLEADINGS
MONTHYEARML20081B5721995-03-0808 March 1995 Motion of Plains Electric Generation & Transmission Cooperative,Inc to Withdraw,W/Prejudice,Petition for Leave to Intervene,Request for Finding of Significant Change & for Antitrust Hearing & Comments.* W/Certificate of Svc ML20092H1231992-02-0303 February 1992 Licensee Answer in Support of Notice of Voluntary Dismissal of Petition for Leave to Intervene.* Informs That Licensees Do Not Object to Dismissal of Proceedings. W/Certificate of Svc ML20086K4441991-12-10010 December 1991 Licensee Answer in Opposition to Petition for Leave to Intervene & Request for Hearing.* Petition Should Be Denied Due to Petitioner Failure to Advise Appropriate Parties Re Hearing.W/Certificate of Svc & Notices of Appearance ML20082N9211991-08-30030 August 1991 Licensee Motion to Compel Response to Licensee First Set of Interrogatories.* Requests That Board Compel Intervenors to Respond to First Set of Interrogatories & That Motion Be Considered on Expedited Basis.W/Certificate of Svc ML20077G2201991-06-0707 June 1991 Brief of Petitioners on Appeal of LBP-91-19.* Licensee Appeal Should Be Denied in Entirety,Because of Foregoing Reasons.W/Certificate of Svc ML20073A9351991-04-17017 April 1991 Licensee Motion to Dismiss Petitioners & Terminate Proceeding.* Board Should Dismiss Petition Because Petitioners Have Failed to Comply W/Board Order.W/ Certificate of Svc ML20076N0871991-03-21021 March 1991 Licensee Response to Supplemental Petition of Mitchell Petitioners.* Contention Proposed by Petitioners Fails to Satisfy Requirements of 10CFR2.714(b)(1) & Should Be Dismissed ML20076N0971991-03-21021 March 1991 Licensee Response to Scott/Bush/Cree Supplemental & Amended Petition.* Petition Does Not Demonstrate Petitioners Standing to Intervene as Matter of Right or Present Admissible Contention.W/Certificate of Svc ML20215K9271987-05-0707 May 1987 Comments of Plains Electric Generation & Transmission Cooperative,Inc,On Issuance of Facility OL to Operate at Five Percent of Full Power.* Commission Must Consider Antitrust Issues.W/Certificate of Svc ML17303A4091987-04-27027 April 1987 Petition Under 10CFR2.206 Re Alleged Unauthorized Disabling of Engineered Safety Sys on 870120,mgt Response to Event & Failure of Personnel & Mgt to Fully Appreciate Significance of Events.Show Cause Order Warranted ML20207S5971987-03-17017 March 1987 Reply of Plains Electric Generation & Transmission Cooperative,Inc to Response of El Paso Electric Co to Comments of Plains Electric Generation & Transmission Cooperative,Inc on Antitrust Info....* W/Certificate of Svc ML17300A6501986-11-28028 November 1986 Comments on Antitrust Info & Requests for Finding of Significant Change,For Antitrust Hearing & Imposition of License Conditions to Prevent El Paso Electric Co anti- Competitive Activities.Certificate of Svc Encl ML17299B0661986-02-26026 February 1986 Corrected Views & Comments on Petition Filed by Coalition for Responsible Energy Educ. Suspension of OL Unwarranted Due to Aggressive Responses to IE Suggestions for Improvement ML17299A9821986-02-0303 February 1986 Petition to Show Cause Per 10CFR2.206(a) Requesting Suspension or Mod of Unit 1 OL for Containment Sys Retesting (Ilrt).Supporting Documentation Encl ML20137P6561986-02-0101 February 1986 Petition for Emergency Relief Per 10CFR2.206(a) & Order to Suspend Operation of Unit & OL Issued on 851209 Until NRR Responds to 860117 Petition to Show Cause & 860121 Addendum ML17299A9701986-01-21021 January 1986 Addendum to 860117 Show Cause Petition,Per 10CFR2.206, Requesting Suspension of OLs Pending Completion of Specified Regulatory & Corrective Actions & Institution of Proceeding on Mgt Competence ML20117L1881985-05-0606 May 1985 Show Cause Petition Requesting Suspension of License NPF-34 Pending Completion of Corrective Actions Re Spray Pond Piping Corrosion & Institution of Proceeding on Corrective Actions ML20077Q3281983-09-12012 September 1983 Answer Opposing West Valley Agricultural Protection Council, Inc 830827 Motion for Directed Certification of ASLB 830711 Order Denying Council 830202 Motion for Suppl to Fes. Certificate of Svc Encl ML20076G8561983-08-27027 August 1983 Motion for Directed Certification of ASLB 830711 Order Denying West Valley Agricultural Protection Council Motion for Declaration That EIS Inadequate & for Continuance of Proceeding ML20076G8681983-08-27027 August 1983 Memorandum Supporting West Valley Agricultural Protection Council Motion for Directed Certification of ASLB 830711 Order Denying Council Motion for Declaration That EIS Inadequate & for Continuance.Certificate of Svc Encl ML20077H9761983-08-0808 August 1983 Response Opposing West Valley Agricultural Protection Council 830721 Request That ASLB 830711 Memorandum & Order Be Referred to Aslab.Stds for Referral Not Satisfied. Certificate of Svc Encl ML20077J0571983-08-0808 August 1983 Motion for Exemption from Page Limitation Requirements of 10CR2.788 for Answer to West Valley Agricultural Protection Council,Inc 830722 Motion Seeking Stay of ASLB Decision to Proceed W/Hearing.Certificate of Svc Encl ML20077H9341983-08-0808 August 1983 Answer Opposing West Valley Agricultural Protection Council Motion for Stay of ASLB Decision Re Validity of Fes.Question Cannot Be Put Before Aslab While Same Issue Pending Before Aslb.Certificate of Svc Encl ML20077F9281983-07-29029 July 1983 Response Opposing West Valley Agricultural Protection Council 830715 Motion to Compel Response to Interrogatories. Matl Protected by work-product Doctrine But Is Available for in Camera Insp.Certificate of Svc Encl ML20024D2261983-07-29029 July 1983 Response Opposing Joint Applicants Motion to Compel Answers to interrogatories.Wide-ranging Fishing Expedition Should Not Be Allowed.W/Certificate of Svc ML20077D1661983-07-22022 July 1983 Motion Seeking Stay of ASLB 830711 Decision Permitting Hearing to Proceed W/Inadequate Eis.Certification of Appeal & Completion of Adequate EIS Requested ML20077D1741983-07-22022 July 1983 Memorandum in Support of Motion Seeking Stay of ASLB 830711 Decision Permitting Hearing to Proceed W/Inadequate Eis. Exhibits & Certificate of Svc Encl ML20076L1961983-07-15015 July 1983 Motion to Compel Responses to Second Set of Interrogatories 2-4,7 & 9.Legitimacy of Joint Applicant Objection May Be Resolved by Identifying Each Document Specifically ML20076L2081983-07-15015 July 1983 Memorandum in Support of Motion to Compel Responses to Second Set of Interrogatories 2-4,7 & 9.Objections Are Overbroad.Confidentiality Waived Re Fog Model Since Model Used in Proceeding.Certificate of Svc Encl ML20076L5531983-07-15015 July 1983 Answer Opposing West Valley Agricultural Protection Council, Inc (West Valley) 830629 Motion for Protective Order.Order Unnecessary Since No Motion to Compel Interrogatory Response Filed ML20076L5661983-07-15015 July 1983 Motion to Compel West Valley Agricultural Protection Council,Inc to Answer Interrogatories.Interrogatories Relevant or Will Lead to Discovery of Admissible Evidence. Certificate of Svc Encl ML20085A2871983-06-29029 June 1983 Motion for Protective Order Against Joint Applicants & NRC Interrogatories Requesting Info on West Valley Agricultural Protection Council,Inc Members,Acreage,Crop Yields & Profits ML20085A2921983-06-29029 June 1983 Memorandum Supporting West Valley Agricultural Protection Council Motion for Protective Order.Question Relates to Potential Salt Damage to Area Crops,Not Council Member Crops.Certificate of Svc Encl ML20074A7961983-05-16016 May 1983 Memorandum Supporting West Valley Agricultural Protection Council,Inc Motion for Discovery Schedule.Projected Date for Crop Study Completion 6 Wks Later than Original Date ML20074A7471983-05-13013 May 1983 Motion for Mod of ASLB 830323 Discovery Schedule,Per 830309 Stipulation on Discovery.Depositions Scheduled for 830718 Should Be Rescheduled for 830829.Discovery on Univ of Arizona Crop Study Should Begin on 831220 ML20074A7451983-05-13013 May 1983 Supplemental Motion to 830202 Motion for Declaration That NEPA Analysis Inadequate & for Continuance of Proceedings. Joint Applicant Responses to Interrogatories Lacked Meaningful Data on Salt Deposition ML20074A7891983-05-0606 May 1983 Memorandum Supporting West Valley Agricultural Protection Council,Inc Supplemental Motion for Declaration That NEPA Analysis Inadequate & for Continuance.No Attempt Made to Identify/Analyze Salt Drifts.W/Certificate of Svc ML20073J8671983-04-16016 April 1983 Supplemental Response to Joint Applicants Motions to Strike Pl Hourihan 830223 Motion for Leave to File Response.Motion to File Response & West Valley Agricultural Protection Council Motion Re NEPA Should Be Granted ML20072F7091983-03-20020 March 1983 Response Opposing NRC & Joint Applicants Motions to Strike Pl Hourihan Motion for Leave to File Response to West Valley Agricultural Protection Council,Inc Motion for Ruling on Contentions.Certificate of Svc Encl ML20065R6691982-10-26026 October 1982 Response of West Valley Agricultural Protection Council to Joint Applicants 821022 Motion for Extension of Time to Answer Council Petition to intervene.Ten-day Extension Should Be Granted.Certificate of Svc Encl ML20065Q4411982-10-22022 October 1982 Motion for 2-wk Extension of Time to Answer West Valley Agricultural Protection Council,Inc 821013 Petition to Intervene.Complete Petition Not Received.Certificate of Svc Encl ML20058H6611982-08-0505 August 1982 Response Opposing Pl Hourihan Motion for Reconsideration of ASLB Admission Into Evidence of Joint Applicants Exhibit DD Exhibit Correctly Entered Into Evidence,Meets Reliability Test & cross-examination Was Allowed.W/Certificate of Svc ML20058G3991982-07-29029 July 1982 Answer Opposing Pl Hourihan 820716 Motion for Reconsideration of ASLB Admission Into Evidence of Joint Applicants Exhibit Dd.Exhibit Authenticated & Cannot Be Excluded Under Hearsay Objection.W/Certificate of Svc ML20055B9491982-07-19019 July 1982 Page 11 Inadvertently Omitted from Applicant 820716 Response to Intervenor Petition for Directed Certification Per 10CFR2.718(i) ML20055A4711982-07-15015 July 1982 Answer Opposing Pl Hourihan 820621 Petition for Directed Certification of Two ASLB Evidentiary Rulings.Stds of Irreparable Harm & Pervasive Effects on Basic Structure of Proceeding Not Met.Certificate of Svc Encl ML20054H2501982-06-21021 June 1982 Petition for Directed Certification Re ASLB Exclusion of Evidence About Invalidity of Util Contract for Effluent & Likely Effects of Pima-Maricopa Indian Lawsuit on Assured Water Supply ML20052G9601982-05-14014 May 1982 Motion for Reconsideration of ASLB 820427 Ruling of Inadmissibility of Claims of Pima-Maricopa Indian Community Re Water Source.Nepa Analysis Must Consider Significant Uncertainties About Assured Water Supply ML20052B6711982-04-26026 April 1982 Motion for Leave to Submit New Contentions or Alternatively, to Amend Current Contention on Inadequate Assurance of Water.Motion Based on Recently Discovered Info.Certificate of Svc Encl ML20054E0461982-04-19019 April 1982 Response to Pl Hourihan 820407 Motion for Order Requiring Admission of Genuineness of Nov 1977 Effluent Document.Ee Van Brunt Affidavit Answering Motions Encl ML20054C6841982-04-13013 April 1982 Motion for Protective Order Re Joint Applicant Subpoena Duces Tecum.Certificate of Svc Encl 1995-03-08
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STEPHEN V. QUESENBERRY LESTER J. MARSTON GEORGE FORMAN CALIFORNIA INDIAN LEGAL SERVICES 1860 So. Escondido Blvd.
P. O. Box 2457 Escondido, California 92025 Telephone: 714-746-8941 Attorneys for Petitioner, Morongo Band of Mission Indians UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of )
) DOCKET NOS. STN 50-592 ARIZONA PUBLIC SERVICE COMPANY ) STN 50-593 et al. )
(Palo Verde Nuclear Generating ) PETITION TO INTERVENE Station, Units 4 and 5) )
)
Petitioner, Morongo Band of Mission Indians, states:
I.
The Morongo Band of Mission Indians (hereinafter
" Petitioner" or " Band"), a federally recognized Indian tribe, hereby petitions to intervene in the above-entitled proceedings.
II.
This petition is filed untimely for the following reasons:
(a) Petitioner did not receive actual notice of these proceedings until March 9, 1979 when attorneys for California Indian Legal Services (CILS), which had represented 7906080A26 _1_
Petitioner in connection with California Energy Commission proceedings on the proposed Sundesert Nuclear Plant, advised the Business Committee of the Morongo Band of the pendency of these proceedings. CILS attorneys, in late February 1979, had been apprised of these prc :eedings and had immediately requested, by letter of Februa ry 27, 1979 to Robert M. Lazo, Chairman of the Atomic Safety and Licensing Board, copies of all documents relating to the electrical transmission facil-ities for Palo Verde Nuclear Generating Station (PVNGS) Units 4 and 5.
(b) The Supplemental Notice Of Hearing And Notice Of Opportunity To Intervene With Regard To Environmental Issues In Hearing On Application For Construction Permits which was published in the Federal Register on Friday, Decem-ber 8, 1978, did not provide constructive notice to Petitioner in that said notice was insufficient to adequately and reason-ably apprise Petitioner of the real scope of the proposed project, particularly the proposed and alternate locations for electrical transmission facilities and their potential im-pact on the lands of Petitioner.
(c) The United States, its agencies and commissions, including the Nuclear Regulatory Commission, have a trust obligation to federally recognized Indian tribes. This obliga-tion encompasses the duty to give actual notice to the governing bodies of said tribes when the actions of said agencies or com-missions will, or may, have an adverse effect on the lands and members of said tribes.
(d) The Applicant at all times relevant hereto was aware that the proposed and alternative electrical transmission corridors from Devers to Mira Loma would have to cross the lands of Petitioner and could have easily provided Petitioner with actual notice of this fact. Failure to provide actual notice to Petitioner under these circumstances is contrary to law. See, e.g., SCHROEDER v. NEW YORK, 371 U.S. 208, 306 (1962); EISEN v. CARLISLE & JACQUELIN, 417 U.S. 156, 175 (1974).
(e) Unless Petitioner is allowed the opportunity to fully participate as a party in these proceedings, including the opportunity to introduce evidence and interrogate witnesses, its ability to adequately represent its interests and concerns to this Board will be unduly restricted.
III.
Petitioner's grounds for intervention are as follows:
(a) Petitioner is the beneficial owner of the lands of the Morong) Indian Reservation, title to which are held in trust by the United States of America for the exclusive use and benefit of Petitioner.
(b) While the Nuclear Regulatory Commission and this Board lack jurisdiction to condemn or to otherwise regu-late the use of the lands of the Morongo Indian Reservation, the actions of the Commission and Board in issuing construction permits and operating licenses for nuclear generating facili-ties may ultimately have a direct adverse effect on the lands of Petitioner.
(c) The lands of Petitioner lie within the proposed and alternate locations of the proposed Devers to Mira Loma corridor of the 500 kilovolt transmission line which is pro-posed to carry the electrical power produced by the PVNGS Units 4 and 5.
(d) The lands of Petitioner may not be utilized for such transmission line purposes without the consent of the governing body of Petitioner.
(e) The location of said transmission lines as proposed by the Applicant, poses serious environmental and health hazards to the lands and members of the Band, among which are:
(1) the potential health and safety hazards created by the electrical and magne-tic fields within and without the proposed and alternative transmission corridors; (2) the impact of the construct on of transmission facilities on the archaeological and cultural resources within and adjacent to the proposed and alternative transmission corridors; (3) the impact of tne transmission facilities on the Petitioner's present and long-range plans for use and development of its lands, especially the potential interference with alternative land uses which are more compatible with the purpose for which the Morongo Reservation was established, i.e.
to provide a permanent home for the members of the Band; (4) the visual impact of the trans-mission facilities on the lands on which they are situated and on those adjacent to or in near proximity to the transmission facilities; (5) the physical hazards posed by the presence of the lines themselves (e.g., fire hazards and hazards to aviation).
IV.
The concerns expressed in Paragraph III(e) are not exhaustive. Petitioner will request leave to amend this petition once Petitioner and its attorneys have had an oppor-tunity to obtain and review all of the pleadings and docu-ments on file herein.
V.
It is the position of Petitioner that the construc-tion of the PVNGS in a location which necessitates the constr'ac-tion of 500 kilovolt transmission facilities across, above, and/or adjacent to its lands, as well as the construction of the nuclear power plant itself, will create unacceptable dan-gers to the health and safety of Petitioner's members and other residents of the Morongo Reservation, and will unacceptably preclude the use of precious Reservation lands for the purpose for which the Reservation was created -- for the exclusive use and benefit of the Morongo Band of Mission Indians --
without conferring a commensurate benefit upon Petitioner.
Unless and until the concerns of Petitioner are satisfied, Petitioner opposes construction of both the PVNGS itself and the 500 kilovolt transmission lines which will transmit the power porduced by said plant.
VI.
Petitioner wishes to present direct evidence and to cross-examine any and all parties and/or witnesses testi-fying in these proceedings.
WHEREFORE the Morongo Band of Mission Indians prays as follows:
(1) That the Band be permitted to intervene in this proceeding and fully participate as a party in all phases thereof; (2) That the Atomic Safety and Licensing Board postpone any further proceedings and/or hearings for a reasonable period of time to allow the Band sufficient time to obtain and review the pleadings and documents on file herein and to amend its Petition to more specifically state its interests:and concerns; (3) That, in the event the Board should deny this petition to intervene, the Band requests permission to make a limited appearance pursuant to the provisions of the Commission's R.11es of Practice (10 CFR S2.715) ;
(4) That, because the Band is composed primarily of low-income persons and is represented by a publicly-funded legal services organization, and thus lacks the financial means to serve copies of its pleadings, exhibits, testimony and other papers upon the numerous other parties to this proceeding, the Band be permitted to file twenty copies thereof with the Nuclear Regulatory Commission and that the Commission serve copies thereof on the other parties; and (5) That the Band be supplied with all documents, exhibits, testimony and other exhibits filed by all parties in this proceeding.
Dated this day of May, 1979.
CALIFORNIA INDIAN LEGAL SERVICES by: # 7 . . Lfw m/h STEPH,EN V. QUESENBERRY ./
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Attorneys for Petitioner T Q STEPHEN V. QUESENBERRY #M 95
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LESTER J. MARSTON / ~ *';
GEORGE FORMAN fd y .Q CALIFORNIA INDIAN LEGAL SERVICES 2 -
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- d 1860 So. Escondido Blvd. ,j -
P. O. Box 2457 I
Escondido, California 92025 *1b'4 #' *;is' Telephone: 714-746-8941 CP A , o)
Attorneys for Petitioner, Morongo Band of Mission Indians UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the matter of )
) DOCKET NOS. STN 50-592 ARIZONA PUBLIC SERVICE COMPANY,) STN 50-593 et al. )
(?alo Verde Nuclear Generating ) CERTIFICATE OF SERVICE Station, Units 4 and 5) )
)
I certif-f that a copy of the attached Petition to Intervene has been served on Arthur C. Gehr, Esquire, by placing same in the United States mail, postage prepaid, this lith day of May, 1979, addressed as follows:
Arthur C. Gehr, Esq.
Snell & Wilmer 3100 Valley Bank Center Phoenix, Arizona 85.73
M, hk W/ ,. !
/ .Jf'wasu n n i
Stephen V. Quesenberry
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STEPHEN V. QUESENBERRY g a gy LESTER J. MARSTON ps GEORGE FORMAN D
CALIFORNIA INDIAN LEGAL SERVICES te cS2 1860 So, Escondido Blvd. 6lgi7 .Q; P. O. Box 2457 Tj -
Escondido, California 92025 c -( 's . - ' [. gg *:I Telephone: 714-746-8941 "s.a .
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Attorneys for Petitioner, N' ._,___- 8
- ' a Morongo Band of Mission Indians UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the matter of )
) DOCKET NOS. STN 50-592 ARIZONA PUBLIC SERVICE COMPANY, ) STN 50-593 et al. )
(Palo Verde Nuclear Generating ) NOTICE OF APPEARANCE Station, Units 4 and 5) )
)
NOTICE IS HEREBY GIVEN that California Indian Legal Services, by Stephen V. Quesenberry, George Forman and Lester J. Marston, hereby enters its appearance in the above-entitled proceedings on behalf of the Petitioner In Interven-tion, Morongo Band of Mission Indians. The undersigned represents that all of the above-nanted attorneys are admitted to practice before the Supreme Court of the State of Cali-fornia and before various courts of the United States. The respective addresses and telephone numbers of the above-named attorneys are as follows:
George Forman Stephen V. Quesenberry California Indian Legal Services Lester J. Marston 1736 Franklin Avenue, Suite 900 1860 So. Escondido Blvd.
Oakland, California 94612 P. O. Box 2457 Telephone: 415-835-0284 Escondido, California 92025 Telephone: 714-746-8941 g
Dated this # M day of May, 1979.
CALIFORNIA INDIAN LEGAL SERVICES
%, ! ~
By WL t. ww 2Lwakw STEPH,EN V. QUESENBERRY -/
Attorneys for Petitioner In Intervention, Morongo Band of Mission Indians