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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20028B5261982-11-23023 November 1982 Unofficial Transcript of 821123 Affirmation/Discussion & Vote in Washington,Dc Re SECY-82-425 & SECY-82-449 ML20063C9281982-08-23023 August 1982 Motion for Clarification,Or in Alternative,Petition for Reconsideration of Aslab 820811 Memorandum & Order ALAB-686 Re Application of Immediate Effectiveness Regulation. Certificate of Svc Encl ML20062F7751982-08-11011 August 1982 Memorandum & Order ALAB-686 Subsequent to ASLB 820630 decision,LBP-82-49.Immediate Effectiveness Review of Mfg Licenses Not Warranted ML20054L9671982-07-0707 July 1982 Errata Order Furnishing Omissions from ASLB 820630 Initial Decision ML20054L8351982-07-0101 July 1982 Notice of Aslab Reconstituion.Cn Kohl,Chairman & WR Johnson & Ha Wilber,Members ML20039E8941982-01-0505 January 1982 Response to NRC 811230 Proposed Findings of Fact & Conclusions of Law.Certificate of Svc Encl ML20039D4561981-12-30030 December 1981 Proposed Findings of Fact & Conclusions of Law in Form of Proposed Initial Decision (Revised).Notice of Appearance & Certificate of Svc Encl ML20062M3171981-12-11011 December 1981 Proposed Findings of Fact & Conclusions of Law in Form of Proposed Initial Decision.Certificate of Svc Encl ML20038B3371981-12-0404 December 1981 Transcript of 811204 Hearing in Bethesda,Md.Pp 7,516-7,734 ML20033B4901981-11-27027 November 1981 Response to ASLB 811112 Questions 2-7.On Question 2, Difference in Wording Inadvertent.Single Conclusion Applicable to Issues of Mfg & Operation of Facilities Before Generic Issues Resolved.Prof Qualifications Encl ML20033B4961981-11-27027 November 1981 Post-TMI Update of Testimony Re Atlantic County Contention 1 on Impacts on Tourism.Conclusions Reached in Previous Testimony Remain Valid.Prof Qualifications Encl ML20033B5321981-11-27027 November 1981 Update of Testimony Re Atlantic County Citizens Council on Environ Contention 9 on Control Room.Util Design Change Will Provide Penetration Protection Against All Postulated Missiles ML20033B5481981-11-27027 November 1981 Testimony of Jc Petersen Re Update of Financial Qualifications Analysis.Offshore Power Sys Has Presented Reasonable Plan for Financing Cost of Mfg Floating Nuclear Plants.Prof Qualifications Encl ML20033B5061981-11-27027 November 1981 Updated Testimony Re Turbine Missiles.Nrc Estimated Turbine Exit Speed Was Too Low.Revised Values Do Not Change NRC Conclusions Re Turbine Missile Risks for Floating Nuclear Plant Design.Prof Qualifications Encl ML20033C0631981-11-25025 November 1981 Identification of Applicant Evidence to Be Introduced at 811204 Hearing,Per ASLB 811103 Order.Addl Testimony Re Turbine Generator Matters & in Response to ASLB 811112 Questions 4-7 Encl.Certificate of Svc Encl ML20032C7651981-11-0606 November 1981 Order Granting State of Ny 811016 Motion to Be Dismissed ML20032D0581981-11-0505 November 1981 Order Re 811102 Prehearing Conference.Nrc & Applicant Stated That Certain Documents Would Be Offered as Exhibits & That Supplementary Testimony Would Be Presented at Future Hearing.Aslb to Be Reconstituted ML20032B2421981-11-0303 November 1981 Order Scheduling 811204 Evidentiary Hearing.Record Will Be Closed at End of Hearing.Direct Testimony to Be Submitted by 811127 W/Witnesses to Appear for cross-examination & ASLB Questioning.Dates for Subsequent Submissions Listed ML20032A9981981-11-0202 November 1981 Transcript of 811102 Prehearing Conference in Bethesda,Md. Pp 7,473-7,515 ML20032B2301981-10-28028 October 1981 Affidavit Re Turbine Generator Matters.Relevant Conclusions Stated in Previous Testimony Are Not Invalidated by Listed Events Re Turbines.Certificate of Svc Encl ML20031G8841981-10-16016 October 1981 Motion to Dismiss State of Nj as Party.State of Nj Will Not Attend 811102 Prehearing Conference or Any Further Proceedings.Certificate of Svc Encl ML20010F3591981-09-0303 September 1981 Order Granting Applicant 810812 Motion 12 to Establish Schedule Re Completion of Mfg License Proceeding ML20010E0741981-09-0101 September 1981 Response Supporting Applicant 810812 Motion to Establish Schedule.Certificate of Svc Encl ML20010C0801981-08-12012 August 1981 Motion for ASLB to Establish Schedule Leading to Completion of Mfg License Proceeding.Hearing Process Should Be Resumed to Address New Matters Contained in Upcoming Ser,Suppl 4. Certificate of Svc Encl.Related Correspondence ML20003C7311981-02-12012 February 1981 Unofficial Transcript of Commission 810212 Meeting in Washington,Dc Re SECY-81-20 Policy on Proceeding W/Pending CP & Mfg License Applications.Pp 1-115 ML19347B8151980-10-10010 October 1980 Notice of Appearance in Proceeding.Certificate of Svc Encl ML19309F3241980-04-25025 April 1980 Notice of Withdrawal from Proceeding.Certificate of Svc Encl ML19256F1981979-11-17017 November 1979 Transcript of Subcommittee on Floating Nuclear Plant 791117 Meeting in Los Angeles,CA.Pp.1-224.Presentation, Thermal Evaluation of FNP Core Ladle During Postulated Core Melt, by WT Pratt & Rd Gasser Encl ML19256F1021979-11-0202 November 1979 Transcript of 791102 Hearing in Bethesda,Md.Pp 7,384-7,472 ML19276H4951979-10-30030 October 1979 Suppl to NRC Response to ASLB 790329 Questions 4 Re Interactions W/Sediment in Offshore Cases.Consequences to Marine Biota from Low Probability Release of Particles from Breakwater Not Greater than Presented in Fes Part III ML19256E6201979-10-24024 October 1979 Order Advising Resumption of Public Hearing on 791102 in Bethesda,Md for NRC to Respond to ASLB .Nrc Should Advise When Suppl 3 to SAR Will Be Issued ML19254D1371979-09-27027 September 1979 Notice of Appearance on Behalf of Nrdc.Certificate of Svc Encl ML19254E4381979-09-14014 September 1979 Response in Opposition to NRC-proposed Mods to 790824 Proposed Partial Findings of Fact in Form of Proposed Initial Decision,Set Forth in Paragraphs 20.D & 20.E.(2), Pages 18-19 of Proposed Findings.Certificate of Svc Encl ML19209C5241979-08-31031 August 1979 Motion for Extension Until 790914 to File Response to NRC 790824 Proposed Partial Findings of Fact.Findings Were Not Received Until 790829.Certificate of Svc Encl ML19208C2071979-08-24024 August 1979 Proposed Partial Findings of Fact in Form of Proposed Initial Decision.Discusses Applicant Contentions Re Health & Safety,Environ,Emergency Plans,Transportation, Economics & Equipment.Certificate of Svc Encl ML19209A9251979-08-20020 August 1979 Order Granting NRC 790808 Motion for Extension Until 790824 to File Proposed Partial Findings of Fact.Nrc Has Shown Good Causes.Parties Have Offered No Objection.Util Must Respond to NRC Partial Findings by 790820 ML19249D5491979-08-0808 August 1979 Notice of Withdrawal of Appearance of MG Malsch on Behalf of Nrc.Certificate of Svc Encl ML19254B1301979-08-0808 August 1979 Requests Extension Until 790824 to File Proposed Partial Findings of Fact.Nrc Priorities for Review Work by Technical Staff Have Consumed Time of Personnel.Certificate of Svc Encl ML19249D8381979-07-13013 July 1979 Responses to ASLB 790329 Questions Re WASH-1400 Rept. Prof Qualifications of GL Chipman & RB Codell Encl ML19248D1131979-06-27027 June 1979 Order Granting Extension Until 790822 to File Proposed Partial Findings of Fact,In Response to NRC 790613 Request ML19242B9971979-06-27027 June 1979 Transcript of ACRS Subcommittee 790627 Meeting in Washington,Dc Re Floating Nuclear Plant.Pp 1-192. Supporting Documentation Encl ML19225B5541979-06-0101 June 1979 Proposed Partial Findings of Fact in Form of Proposed Initial Decision Submitted by Offshore Power Sys to Aslb. Discusses Each Contention Admitted as Issue in Controversy & ASLB Questions.Certificate of Svc Encl ML19259C4871979-05-25025 May 1979 Denies NRDC 790216 Motion for Summary Disposition of Licensee Fes for Mfg of Floating Nuclear Plants.No Genuine Issue as to Any Matl Fact.Grants cross-motions for Summary Disposition by Applicant & NRC ML19289F2091979-04-0404 April 1979 Motion to Establish Schedule for Filing of Partial Proposed Findings of Fact & Conclusions of Law.Proposed Schedule & Certificate of Svc Encl ML19281A5721979-03-12012 March 1979 Orders Public Hearing to Resume on 790404 in Bethesda,Md,Re Atlantic County Citizens Council on Environs Contentions 3a & 3c ML19281B5151979-03-0808 March 1979 Statement of Matl Facts Which Are Not in Dispute.Applicant Not Able to Build Eight Plants by 1985.Statement Filed in Opposition to NRDC Statement of Matl Facts ML19274E6281979-03-0808 March 1979 Applicants Motion 10 to Establish Schedule for Hearing on Contentions 3a & 3c by Atlantic County Citizens Council on the Environ.Requests Parties File an Identification of Evidence.Certificate of Svc Encl ML19261C3331979-02-20020 February 1979 Intervenor Withdraws from Active Participation in Licensing Hearings,Due to Util'S Withdrawal of Order for Floating Nuclear Plants Off Nj Coast.Certificate of Svc Encl ML19263D1641979-02-16016 February 1979 NRDC Statement of Matl Facts Which Are Not in Dispute Re Offshore Power Sys'S Intent to Build More than Eight Floating Nuclear Plants.Certificate of Svc Encl ML19263D1621979-02-16016 February 1979 NRDCs Memorandum in Support of Summary Disposition Motion. Urges That Programmatic Review of Floating Nuclear Plants Be Conducted.Certificate of Svc Encl 1982-08-23
[Table view] Category:PLEADINGS
MONTHYEARML20063C9281982-08-23023 August 1982 Motion for Clarification,Or in Alternative,Petition for Reconsideration of Aslab 820811 Memorandum & Order ALAB-686 Re Application of Immediate Effectiveness Regulation. Certificate of Svc Encl ML20033B4901981-11-27027 November 1981 Response to ASLB 811112 Questions 2-7.On Question 2, Difference in Wording Inadvertent.Single Conclusion Applicable to Issues of Mfg & Operation of Facilities Before Generic Issues Resolved.Prof Qualifications Encl ML20031G8841981-10-16016 October 1981 Motion to Dismiss State of Nj as Party.State of Nj Will Not Attend 811102 Prehearing Conference or Any Further Proceedings.Certificate of Svc Encl ML20010E0741981-09-0101 September 1981 Response Supporting Applicant 810812 Motion to Establish Schedule.Certificate of Svc Encl ML20010C0801981-08-12012 August 1981 Motion for ASLB to Establish Schedule Leading to Completion of Mfg License Proceeding.Hearing Process Should Be Resumed to Address New Matters Contained in Upcoming Ser,Suppl 4. Certificate of Svc Encl.Related Correspondence ML19276H4951979-10-30030 October 1979 Suppl to NRC Response to ASLB 790329 Questions 4 Re Interactions W/Sediment in Offshore Cases.Consequences to Marine Biota from Low Probability Release of Particles from Breakwater Not Greater than Presented in Fes Part III ML19254E4381979-09-14014 September 1979 Response in Opposition to NRC-proposed Mods to 790824 Proposed Partial Findings of Fact in Form of Proposed Initial Decision,Set Forth in Paragraphs 20.D & 20.E.(2), Pages 18-19 of Proposed Findings.Certificate of Svc Encl ML19209C5241979-08-31031 August 1979 Motion for Extension Until 790914 to File Response to NRC 790824 Proposed Partial Findings of Fact.Findings Were Not Received Until 790829.Certificate of Svc Encl ML19208C2071979-08-24024 August 1979 Proposed Partial Findings of Fact in Form of Proposed Initial Decision.Discusses Applicant Contentions Re Health & Safety,Environ,Emergency Plans,Transportation, Economics & Equipment.Certificate of Svc Encl ML19254B1301979-08-0808 August 1979 Requests Extension Until 790824 to File Proposed Partial Findings of Fact.Nrc Priorities for Review Work by Technical Staff Have Consumed Time of Personnel.Certificate of Svc Encl ML19225B5541979-06-0101 June 1979 Proposed Partial Findings of Fact in Form of Proposed Initial Decision Submitted by Offshore Power Sys to Aslb. Discusses Each Contention Admitted as Issue in Controversy & ASLB Questions.Certificate of Svc Encl ML19289F2091979-04-0404 April 1979 Motion to Establish Schedule for Filing of Partial Proposed Findings of Fact & Conclusions of Law.Proposed Schedule & Certificate of Svc Encl ML19274E6281979-03-0808 March 1979 Applicants Motion 10 to Establish Schedule for Hearing on Contentions 3a & 3c by Atlantic County Citizens Council on the Environ.Requests Parties File an Identification of Evidence.Certificate of Svc Encl ML19281B5151979-03-0808 March 1979 Statement of Matl Facts Which Are Not in Dispute.Applicant Not Able to Build Eight Plants by 1985.Statement Filed in Opposition to NRDC Statement of Matl Facts ML19261C3331979-02-20020 February 1979 Intervenor Withdraws from Active Participation in Licensing Hearings,Due to Util'S Withdrawal of Order for Floating Nuclear Plants Off Nj Coast.Certificate of Svc Encl ML19263D1641979-02-16016 February 1979 NRDC Statement of Matl Facts Which Are Not in Dispute Re Offshore Power Sys'S Intent to Build More than Eight Floating Nuclear Plants.Certificate of Svc Encl ML19263D1621979-02-16016 February 1979 NRDCs Memorandum in Support of Summary Disposition Motion. Urges That Programmatic Review of Floating Nuclear Plants Be Conducted.Certificate of Svc Encl ML19263D1601979-02-16016 February 1979 Motion for Summary Disposition Re Failure of Fes to Consider Environ Impact & Alternatives ML19282A6351979-02-12012 February 1979 Informs That Natural Resource Defense Council Missed Filing Deadline,But Plans to File a Brief on Its Contention & Remain in the Proceeding.Certificate of Svc Encl ML19274D6971979-02-0606 February 1979 Applicant'S Rept to ASLB Re Status of Hearings & Motion to Establish Schedule.Proposed Schedule Encl ML19289D1311979-02-0606 February 1979 Motion for Order Dismissing NRDC Programmatic Impact Statement Contention as an Issue Due to NRDCs Failure to Comply w/780801 ASLB Order Filing a Motion by 790129.Related Papers & Certificate of Svc Encl ML19269C0891979-01-12012 January 1979 NRDC Brief Re Certification of Class 9 Accident Issue. Asserts Commissions Only Proper Action Is to Order Evidentiary Hearing.Certificate of Svc Encl ML19289C8181979-01-12012 January 1979 Request of the CA Energy Resources Conservation & Development Commission on Issue of Class 9 Accidents. Provides Results of Commission Study of Undergrounding Nuclear Reactors & Class 9 Accidents ML19261A3161978-12-26026 December 1978 Requests Opportunity to Reply to NRC Applicant'S Allegations Re Interpretation of Ltr from Administrator of EPA to Ops. Brief Statement to That Purpose Attached.W/O Encl ML19259B0511978-12-19019 December 1978 Response by Applicant OPS in Opposition to NRDC Request for Directed Certification.Asserts NRDC Has Not Satisfied Criteria for Directed Certification.Epa & Certificate of Svc Encl ML19259A9191978-12-19019 December 1978 NRC Response in Opposition to Request for Directed Certification Filed by NRDC on 781130.Asserts That NRDCs Motion Does Not Satisfy Criteria for Directed Certification. W/Supporting Ltrs & Certificate of Svc ML20150E0171978-11-30030 November 1978 NRDC Request for Directed Certification.Expresses Concern Re Inshore Siting of Fnps.Finds No Reason to Believe Lic Bd Erred in Rejecting NRDC Contention.W/Encl Related Correspondence ML19256A2881978-11-0707 November 1978 Intervenor Atlantic County,Nj Response to Memos of 781027 of Hendrie & Gilinsky Re Their Involvement W/Appl Prior to Their Appointments to Nrc.Has No Factual Basis on Which to Object to Commissioners Participation.Cert of Svc Encl ML20148J2721978-11-0303 November 1978 NRDC Response to Memoranda to Counsel from Hendrie & Gilinsky Re Their Prior Involvement in Issues Re Subj Facil. NRDC Asserts That Disqual of the Commissioners Is Dependent Upon Certain Facts.Cert of Svc Encl ML20148J5021978-11-0303 November 1978 NRC Staff'S Response to Memo to Counsel Filed by Hendrie & Gilinsky Re Possible Prior Knowledge.Staff Has No Objection to Either Commissioner Participating in Review of ALAB-500. W/Cert of Svc ML20148J3381978-11-0202 November 1978 Response of Applicant OPS to Memoranda of Hendrie & Gilinsky to Counsel Re Commissioners Impartiality in Proceedings Re Subj Facil.Applicant Has No Objection to Either Commissioner Participating in Review of Issues.Cert of Svc Encl ML20197B0711978-10-23023 October 1978 Grants Applicant 781010 Motion to Defer Ruling Until 781010 Based on Granting Applicant 780905 Motion to Plead Matter in Controversy & Establish Discovery & Hearing Schedule ML20147E0671978-10-0202 October 1978 Opposes Intervenor NRDC 780915 Request for Reconsideration & Certification of ASLB 780911 Order Denying NRDC 780809 Motion to Amend Contentions.Nrdc Has Not Established Grounds for Reconsideration 1982-08-23
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2 Ihk were proposed (Natural Rescurces Defense Council v. Nuclear Regulatory Commissica, 539 F.2d 824 (2nd Cir. 1976), judgment vacated and remanded for consideration of mootness sub ncm.
Allied-General Nuclear Services v. Natural Resources Defense Council, 46 U.S.L.W. 3447 (Jan. 17, 1978)).
This motion for summary disposition really focusses en three arguments. First, that there is a reasonable basis to believe that there is a program for development and deployment of a substantial number of FNPs. Second, that the FES pr9 pared by the PRC Staff is not a programmatic impact statement. Third, that the FNP is a unique concept for which a programmatic approval is required. These arguments essentially depend upcn acceptance of the validity of the Statement of Material Facts Which Are Not in Dispute and the interpretation of those facts for the legal questions presented here. We address in this memorandum the question of the interpretation of those facts.
II. Secpe of Proposed Action It is hardly necessary to elaborate on the cbvious fact that the OPS plan for FNPs is to build substantially more than eight. Clearly CPS has in mind a substantial number of these facilities in the coastal area. For instance, in a New York Times article of June 4, 1972, Ralph Lapp saw the AGS facilities as the forerunners of hundreds of FNPs. Cited in an article by J.A. Ashworth, Assistant to the Project Manager, Public Service Electric and Gas Co., entitled Design Challenges of Cffshcre Standard Plants, a copy of which was provided to NROC by letter 790322 0 0(o 7
3 .
dated Auguso 3, 1974, frc= T.M. Daugherty of CPS. In a speech to the Institutional Conference of Investment Bankers en Cctober 23, 1973, A.P. Cechella, President of CPS stated (p . 6):
Our forecasts shcw that Cffshcre Pcwer Systems at a production rate of four floating nuclear plants per year expects to build 42 plants for installation during the next two decades.
On January 17, 1974, Mr. Zechella told the Cc==ittee on Power Generation of the Association of Edison Illuminating Cc=panies:
Cur plans call for an orderly expansion of our facility manufacturing capability.
Following the shipment of these first two units in 1979 and 1980. [ sic] Cur manufac-turing schedules call for additional plants to ship at a rate of one in 1981, two in 1982, three in 1933 and four in 1934 and subsequent years.
I am pleased to announce, for the first time that shortly, we will arend our manu-facturing license application to increase the number of FNP's frc= eight plants to a total of sixteen. With cur facility producing four plants per year as we reach maturity, the last of these additional eight would be ready for shipment in 1985.
The OPS scheme for FNPs is substantially broader than the eight proposed, and the manufacturing facility for which license approval is sought must be judged en the basis of its potential and OPS's plans for it and not the S FNPs identified in the application.
The Staff apparently believes that because cnly S FNP approvals were requested, cnly the impact of these 3 must be analy:ed. This presents a situation analegcus to Elecce v. Sierra Club, 427 U.S. 390 (1976). Like Klecce, we have a case in *thich
4 an effort is made to artificially define the scope of a proposed action. Like Kleppe, we have here a far broader program of which the specific actions are only a part. Like Kleppe, the consideration of the proposed actions can only occur after a programmatic statement has been prepared which enccmpasses these limited proposals. The OPS characterization of the proposal, as related only to 8 FNPs, is of course not binding, or all applicants could avoid programmatic statements by seg-menting the programs.1 The key is what is really happening, not how an applicant or agency characterizes it. What is clearly happening here is that OPS is launching a major program to build and site hundreds of FNPs.
III. The FES Is Not A Programmatic Impact Statement There is no magic formula for what are the elements of a programmatic impact statement. The key is to identify what is the program and then to develop an FES which fairly addresses that program. This is essentially identical to the process for preparing any FES, except here the program requires consideration of far larger considerations than the standard FES. The scope of the proposed action here was discussed in section II, supra.
A comparison of that program with the FES here conclusively demonstrates that this is not an adequate programmatic FES.
k 1/ Numerous cases have held that artificial segmentation of proposed actions is impermissible. Indian Lookout Alliance v.
Volpe, 434 F.2d 11 (Sth Cir. 1973); Named Individual Members of tne San Antonio Conservation Scciety et al. v. Texas H1:nwav Department, 446 F.2d 1913 (5rn Cir. 1971).
At no time dces the Staff analyze the environmental impacts of hundreds of FNPs in the coastal waters of the United States.
The potential damage which such a fleet of FNPs could generate is set forth in our original petition for leave to intervene.
The elements are included individually in the FES for this case but what is missing is the Staff analyzing the accumulated effect of hundreds of FNPs. If it had done this, we would know the extent of the programmatic effects of the actions analyzed in Sections 5 and 6 of UUREG-0056 and the programmatic effects of the actions analyzed in Subsections 2.4 and 2.5 of NUREG-0056, Supplement 1. These programmatic analyses would have provided a basis for determining whether ocean and near-shore environ-ments could withstand the magnitude of the environmental insult .
which the FNP program would impose. Without those analyses, it is not possible to determine whether an FNP program should be allowed to begin and, if so, how large it should be. The reason for requiring a programmatic review is to be able to make these determinations before allowing a program to begin.
In both SIPI, supra, and NRDC v. NRC, supra, the courts stressed the principle that the purpose of the programmatic review is to make a reascnable forecast of the environmental consequences of an action before it is allcwed to commence. In addition, when the FNPs are viewed as a program whose implement-ation will occur over many years, large scale programmatic alternatives will emerge and have to be considered. The Staff analysis of the alternatives of energy conservation and solar
E energy is completely disterted by the artificially established deadline of the early 1990s. If the FNP is properly viewed, as OPS itself has viewed it, as a program for hundreds of plants over the next several decades, then it is not cnly reasonable but essential to address the many alternatives which exist in that time frame, including conservaticn, which, if properly implemented, can, without any deprivations of life-style changes, maintain a real GNP grcwth rate of 2-3% through the year 2000 with the addition of no more than 10-1f% (7-12 quads) cf new energy and with no additional nuclear plants beyond those already in existence and cader construction. Energy: The Easy Path, Vince Taylor (Jan. 1, 1979); Soft Ena 7y Paths, Amory B.
Lcvins (1977). Similarly, by the year 2000, ne-fourth of our total energy needs could be met with solar energy. Council on Environmental Quality, Solar Eneray: Progress and Prctise (April 1978); Blueprint for a Solar America, Solar Lcbby (January 1979) .
These are factors essentially ignored by the Staff because its entire focus was on eight FNPs by the early 1990s. The program-matic' review required would expand the investigatien of alterna-tives to FNPs and highlight the advantages of these alternatives.
IV. The Floatina Nuclear Plant Is Unicue It is reasonable to anticipate that the applicant will argue that the FNP is not a new program but merely the continu-ation of an old and already established technology -- i.e.,
light water reactors. Mcwever, this entire proceeding and v.uch
7 .
of what is already contained in the FES belie this assertion.
The ACRS and the Staff have treated the FNP as a unique tech-nology requiring a special analysis. Even OPS in seeking to sell the FNP concept has considered it a new concept, albeit alleging that it relies on existing technology.
Of particular relevance are the findings contained in NUREG-0502 with respect to the FNP design. Because of the rni ue risks associated with FNPs, the FNP will be the first reactor to be required to include a core-catcher and other materials to mitigate the consequences of a core-melt accident.
These features make the FNP a markedly different device than existing plants. The risk factor is sufficiently altered by the water siting to transform an otherwise " incredible" accident into a credible accident for which design protections must be provided. Making a Class 9 accident a design basis risk involves a major technological variation from the existing reactor technology.
A similarly important technological difference in FNPs and land-based plants which also focusses on the fact that the plant is sited in water and not adjacent to water is the special site considerations rel'ated to the shoreline siting of FNPs.
The Environmental Protection Agency and the Staff are on record as believing that it is highly unlikely that any shoreline sites for FNPs will be found which are acceptable. NUREG-0502,
- p. XIV. The floating of a nuclear plant with the attendant dredging, sedimentation and other potential adverse consequences
8 identified in NUREG-0056, Supp. 1, Sections 2.4 and 2.5, creates unique problems for all FNPs which are not applicable to all land-based plants.
Undeniably, what is different about FNPs is that they float on water. That difference is demonstrably significant as reflected by all the special conditions being imposed on the FMPs. Thus, the concept of an FNP represents a new technology for which a sufficiently broad implementation is planned that a programmatic review is required.
CONCLUSION Eight floating nuclear plants doesn't mean a hell of a lot; Eight floating nuclear plants dcesn't mean a thing.
But give them to us four a year, Every year for forty years, That's enough for us to see the programmatic scheme.
Respectfully submitted,
/? )
4 3fi N I c%_ %
Anthony Z./ Roisman Natural Rdsourges Defense Council 917 15th Street, N.W.
Washington, D.C. 20005 (2G2J737-5000 Dated: Feb. 16, 1979 2/ With apologies to the composers of " Pajama Game."