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Category:INTERROGATORIES; RESPONSES TO INTERROGATORIES
MONTHYEARML19351A6891989-12-0404 December 1989 Intervenors Supplemental Response to Licensee Discovery Requests,Interrogatory I.(A-B).* W/Supporting Info & Certificate of Svc.Related Correspondence ML20247F1011989-09-0808 September 1989 Intervenors Response to Licensee Followup Discovery Request to Ctr for Nuclear Responsibility & J Lorion.* Intervenors Believe That Unit 4 plant-specific Surveillance Data Only Credible Data.W/Certificate of Svc.Related Correspondence ML20246J6971989-08-29029 August 1989 NRC Staff Response to Ctr for Nuclear Responsibility & J Lorion First Set of Discovery Requests to NRC Staff.* Bj Elliot Unexecuted Affidavit Encl.Related Correspondence ML20246J2751989-08-28028 August 1989 Licensee Response to Intervenors First Set of Discovery Requests to Licensee.* W/Certificate of Svc.Related Correspondence ML20246B9511989-08-16016 August 1989 Licensee Followup Discovery Request to Ctr for Nuclear Responsibility & J Lorion.* W/Certificate of Svc.Related Correspondence ML20245F8111989-08-0808 August 1989 Intervenors Responses to Licensee First Set of Discovery Requests to Ctr for Nuclear Responsibility & J Lorion.* Certificate of Svc Encl.Related Correspondence ML20245F7651989-08-0707 August 1989 Intervenors First Set of Discovery Requests to NRC Staff.* W/Certificate of Svc.Related Correspondence ML20245F7891989-08-0707 August 1989 Intervenors First Set of Discovery Requests to Licensee.* Interrogatories & Documents Specific to Contentions 2 & 3 Requested,Per 10CFR2.740(b) & 2.741.Certificate of Svc Encl. Related Correspondence ML20245J6021989-06-21021 June 1989 Licensee First Set of Discovery Requests to Ctr for Nuclear Responsibility & J Lorion.* W/Certificate of Svc.Related Correspondence ML20137L8791985-11-27027 November 1985 Response to Licensee Interrogatories to Ctr for Nuclear Responsibility & J Lorion.General Interrogatories Answered for Each Contention Provided.Certificate of Svc Encl. Related Correspondence ML20137L9621985-11-27027 November 1985 Response to Licensee Interrogatories to Ctr for Nuclear Responsibilities & J Lorion.Addl Info Will Be Provided When Continuing Obligation Comes to Intervenor Attention. Certificate of Svc Encl.Related Correspondence ML20138L6451985-10-28028 October 1985 First Set of Interrogatories,Requesting All Documents,Books, Repts & Papers Intended for Use in Conducting cross- Examination of Witnesses Testifying on Contention 3.W/ Certificate of Svc.Related Correspondence ML20138L8951985-10-28028 October 1985 First Set of Interrogatories to Ctr for Nuclear Responsibility & J Lorion Re Spent Fuel Pool Expansion. Certificate of Svc Encl.Related Correspondence ML20106D2111985-02-0606 February 1985 First Discovery Request That NRC Provide Documents Listed in Encl App a Re Evaluation of Reactor Vessel Matls Data for Plant Reactor Vessels.Certificate of Svc Encl.Related Correspondence ML20090C2961984-07-10010 July 1984 Response to Interrogatories.Certificate of Svc Encl.Related Correspondence ML20091C9251984-05-29029 May 1984 Interrogatories on Contentions B & D.Certificate of Svc Encl.Related Correspondence ML20079N2181984-01-26026 January 1984 Discovery Request for Documents Listed on Encl App A.W/O App.Certificate of Svc Encl ML20079P8381984-01-26026 January 1984 Discovery Request as Part of Amended Petition to Intervene. Encl App a Inadvertently Omitted from Original Discovery Request.Certificate of Svc Encl ML17340B1291981-04-22022 April 1981 Response to Intervenor MP Oncavage 810414 & 15 Requests for Production of Documents.Licensee Will Provide Documents Except in Response to Requests 3 & 5.Certificate of Svc Encl ML17340B1401981-04-15015 April 1981 Request for Production of Listed Documents.Related Correspondence ML17340B1381981-04-15015 April 1981 Request for Production of Listed Documents.Related Correspondence ML17340B0341981-04-14014 April 1981 Request for Production of Listed Documents from Licensee. Certificate of Svc Encl.Related Correspondence ML17339A6301980-02-11011 February 1980 Supplemental Responses to MP Oncavage 791027 Interrogatories & Requests for Documents,Per ASLB 800124 Order.Includes Info Re Safety Retrofitting or Backfitting & New Technologies Re Coal Project.W/Affidavit & Certificate of Svc ML17339A6271980-02-0505 February 1980 Answers to Interrogatories Per ASLB 800122 Order.Nrc Safety Evaluation & Eia Are Deficient Due to NRC Reliance on Licensee.Prepared Steam Generator Repair Rept.Certificate of Svc & Licensee Complaint Encl ML17339A4461979-12-17017 December 1979 Answers to NRC Interrogatories & Request for Production of Documents.Confirms a Bowen,W Goldberg,R Anderson, D Bridenbaugh,Kz Morgan & AR Tamplin as Witnesses.Considers Safety Evaluation & Eia to Be Deficient ML17339A4511979-12-17017 December 1979 Responses to Intervenor MP Oncavage 791027 Interrogatories & Request for Production of Documents,Per ASLB 791115 Order. Objects to Majority of Questions as Irrelevancy & Immateriality.Certificate of Svc & Affidavit Encl ML17339A3321979-11-0707 November 1979 Responses to Intervenor MP Oncavage 791027 Interrogatories & Request for Production of Documents.Objects to Majority of Questions.Aslb 790927 Order Rejected All Issues Re Steam Generator Repairs.Certificates of Svc Encl ML17339A3341979-10-27027 October 1979 Interrogatories & Request for Production of Documents Directed to Licensee.Includes Questions on Licensee Preparedness to Protect Public & Environ in Event of Steam Generator Failure.Certificate of Svc Encl 1989-09-08
[Table view] Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEAR3F0999-05, Comment Supporting Proposed Rules 10CFR50 & 72 Re Reporting Requirements for Nuclear Power Reactors & Draft NUREG-1022, Rev 2, Event Reporting Guidelines1999-09-14014 September 1999 Comment Supporting Proposed Rules 10CFR50 & 72 Re Reporting Requirements for Nuclear Power Reactors & Draft NUREG-1022, Rev 2, Event Reporting Guidelines L-99-201, Comment Supporting Proposed Rules 10CFR50 & 72 Re Reporting Requirements for Nuclear Power Reactors.Fpl Followed Development of NEI Comments on Rulemaking & Endorse These Comments1999-09-0707 September 1999 Comment Supporting Proposed Rules 10CFR50 & 72 Re Reporting Requirements for Nuclear Power Reactors.Fpl Followed Development of NEI Comments on Rulemaking & Endorse These Comments ML20206H4441999-05-0303 May 1999 Comment Opposing Proposed Rules 10CFR170 & 10CFR171 Re Rev of Fy 1999 Fee Schedules ML20205J0461999-04-0101 April 1999 Comment Supporting Proposed Draft Std Review Plan on Foreign Ownership,Control & Domination.Util Supports Approach Set Forth in SRP Toward Reviewing Whether Applicant for NRC License Owned by Foreign Corp.Endorses NEI Comments ML20205B3771999-03-16016 March 1999 Comment Opposing PRM 50-64 Re Liability of Joint Owners of Npps.Util Endorses Comments of NEI & Urges Commission to Deny Petition for Rulemaking ML17355A2511999-03-0909 March 1999 Comment Supporting Amend to Policy & Procedure for NRC Enforcement Actions Re Treatment of Severity Level IV Violations at Power Reactors.Util Also Endorses Comments of NEI on Revs L-98-306, Comment Opposing Proposed Rule 10CFR50 Re Requirements for Monitoring Effectiveness of Maint at NPP1998-12-10010 December 1998 Comment Opposing Proposed Rule 10CFR50 Re Requirements for Monitoring Effectiveness of Maint at NPP L-98-272, Comment on Draft Reg Guide DG-4005, Preparation of Suppl Environ Repts for Applications to Renew Nuclear Power Plant Operating Licenses1998-10-28028 October 1998 Comment on Draft Reg Guide DG-4005, Preparation of Suppl Environ Repts for Applications to Renew Nuclear Power Plant Operating Licenses L-98-252, Comment Supporting Proposed Rules 10CFR2 & 51 Re Streamlined Hearing Process for NRC Approval of License Transfers.Fpl Also Endorses Comments of NEI on Proposed Rule1998-10-0606 October 1998 Comment Supporting Proposed Rules 10CFR2 & 51 Re Streamlined Hearing Process for NRC Approval of License Transfers.Fpl Also Endorses Comments of NEI on Proposed Rule L-98-248, Comment Supporting Statement of Policy on Conduct of Adjudicatory Proceedings.Fpl Also Endorses Comments of NEI on Policy Statement1998-10-0505 October 1998 Comment Supporting Statement of Policy on Conduct of Adjudicatory Proceedings.Fpl Also Endorses Comments of NEI on Policy Statement ML17354A8741998-03-27027 March 1998 Comment Opposing Proposed Generic Communication,Lab Testing of nuclear-grade Activated Charcoal (M97978) ML17354B1061998-02-26026 February 1998 Submits Listed Requests for NRC EA Per 10CFR2.206 to Modify OLs for All FPL NPPs Until Licensee Can Demonstrate Open Communication Channels Exist Between NRC & Licensee.Also Requests EA to Address Alleged Discriminatory Practices ML20217M0751997-08-13013 August 1997 Licensee Response to Supplemental 10CFR2.206 Petitions Filed by Tj Saporito & National Litigation Consultants.Petition Provides No Basis for Extraordinary Relief Requested. Petition Should Be Denied.W/Certificate of Svc ML20217J4321997-08-0707 August 1997 Memorandum & Order.* Grants Staff Petition for Review & Reverses Presiding Officer Decision Requiring Staff to Issue Tetrick SRO License.Order Disapproved by Commissioner Diaz. W/Certificate of Svc.Served on 970807 ML20148P8461997-06-25025 June 1997 Memorandum & Order (Determination of Remand Question).* Concludes That Presiding Officer Reaffirms Determination That Response of Rl Tetrick to Question 63 of Exam to Be SRO Was Incorrect.W/Certificate of Svc.Served on 970626 ML17354A5521997-06-18018 June 1997 Comment Opposing Proposed NRC Bulletin 96-001,suppl 1, CR Insertion Problems. ML20141F5441997-06-13013 June 1997 NRC Staff Response to Presiding Officer Memorandum & Order (Questions Relevant to Remand).* Staff Submits That Tetrick Request for Reconsideration of Grading of Question 63 on SRO License Written Exam Should Be Denied ML20141F5711997-06-13013 June 1997 Supplemental Affidavit of B Hughes & Ta Peebles.* Affidavit Re Tetrick Request for Reconsideration of Grading of Question 63 on SRO License Written Exam.W/Certificate of Svc ML17354A5181997-05-27027 May 1997 Licensee Response to 10CFR2.206 Petition Filed by Tj Saporito & National Litigation Consultants.Petition Should Be Denied,Based on Listed Info.W/Certificate of Svc ML20148G6531997-05-27027 May 1997 Notice.* Forwards Documents Received & Read by Author from Rl Tetrick on 970317 W/O Being Served as Required Under Procedural Rules.W/Certificate of Svc.Served on 970527 ML20148G7071997-05-27027 May 1997 Memorandum & Order (Questions Relevant to Remand).* Rl Tetrick May Respond to Questions W/Filing Served Pursuant to Procedural Regulations W/Notarized Statement to Be Received by 970617.Certificate of Svc Encl.Served on 970527 ML20148G7501997-05-20020 May 1997 Memorandum & Order CLI-97-05.* Staff May Withhold Issuance of SRO License to Rl Tetrick Pending Further Order of Commission.W/Certificate of Svc.Served on 970520 ML17354A5631997-05-17017 May 1997 Second Suppl to 970423 Petition Requesting Enforcement Against Listed Util Employees by Imposing Civil Penalties, Restricting Employees from Licensed Activities & Revoking Unescorted Access ML20141C7331997-05-16016 May 1997 Order Extending Until 970616,time within Which Commission May Rule on NRC Staff 970416 Petition for Review of Presiding Officer Initial Decision.W/Certificate of Svc. Served on 970516 ML17354A5611997-05-11011 May 1997 Suppl to 970423 Petition Requesting Enforcement Action Against Util Former Executive Vice President,Site Vice President & Maint Superintendent by Imposing Civil Monetary Penalty ML20138J2331997-05-0202 May 1997 Affidavit.* Affidavit of B Hughes Re Denial of Application for SRO License for Rl Tetrick.W/Certificate of Svc ML20138J2271997-05-0202 May 1997 NRC Staff Response to Questions Posed in Commission Order of 970425.* Staff Respectfully Submits That Commission Should Undertake Review of Presiding Officer Decisions in Proceedings LBP-97-2 & LBP-97-6 ML20138J2241997-05-0202 May 1997 Line (Providing Omitted Citation).* Informs That Submitted Citation Inadvertently Omitted from Response to Questions Posed in Commission Order of 970425.W/Certificate of Svc ML20138J2401997-04-25025 April 1997 Scheduling Order.* Staff Instructed to File W/Commission,By COB 970502,response to Tetrick Argument Re Question 63 & Discussion of Legal Significance of Consistent Staff Practices.W/Certificate of Svc.Served on 970425 ML17354A5651997-04-23023 April 1997 Requests That NRC Take EA to Modify,Suspend or Revoke FPL Operating Licenses for All Four Nuclear Reactors Until Licensee Can Sufficiently Demonstrate to NRC & Public That Employees Encouraged to Freely Raise Safety Concerns ML20137X5921997-04-16016 April 1997 NRC Staff Petition for Commission Review of Presiding Officer Decisions in Proceeding (LBP-97-2 & LBP-97-6).* Commission Should Undertake Review of Presiding Officer Decisions in Proceeding.W/Certificate of Svc ML20137X5511997-04-11011 April 1997 NRC Request for Issuance of Order Staying Effectiveness of Presiding Officer Decisions in Proceeding (LBP-97-2 & LBP-97-6).* Commission Should Stay Effectiveness of Decision in Subj Proceeding.W/Certificate of Svc ML20137R3531997-03-27027 March 1997 Correct Copy of Memorandum & Order (Denial of Reconsideration,Stay).* Denies NRC Staff Motion for Reconsideration.W/Certificate of Svc.Served on 970327 ML20137F5551997-03-25025 March 1997 NRC Staff Response to Memorandum & Order of 970321.* Presiding Officer Should Grant Staff 970310 Motion for Reconsideration.W/Certificate of Svc ML20137F8251997-03-21021 March 1997 Memorandum & Order (Grant of Housekeeping Stay).* Orders That Effect of Initial Decision Postponed Until Close of Business on 970326.W/Certificate of Svc.Served on 970321 ML20137F5081997-03-17017 March 1997 NRC Staff Motion for Issuance of Stay.* Requests That Presiding Officer Deny NRC Staff Request for Issuance of Stay in Matter of Issuance of SRO License ML20137F5371997-03-17017 March 1997 NRC Staff Motion for Reconsideration in Matter of Rl Tetrick.* Requests That Presiding Officer Deny NRC Staff Request for Reconsideration ML20136F2981997-03-12012 March 1997 Memorandum & Order (Grant of Housekeeping Stay).* Informs That Initial Decision Issued by Presiding Officer on 970228 Postponed Until 970321 & Rl Tetrick May File Response by 970318.W/Certificate of Svc.Served on 970312 ML20136F2351997-03-10010 March 1997 NRC Staff Motion for Reconsideration Introduction.* Requests That Presiding Officer Reconsider Determination That Tetrick Passed Written Exam & Find,Instead,That Tetrick Failed Written Exam ML20136F3411997-03-10010 March 1997 NRC Staff Request for Issuance of Order Staying Effectiveness of Presiding Officers Initial Decision LBP-97-2.* Staff Submits That Presiding Officer Should Stay Effectiveness of Initial Decision.W/Certificate of Svc ML20136F2721997-03-0606 March 1997 Supplemental Affidavit of B Hughes.* Supports Staff Motion for Reconsideration of Presiding Officer Initial Decision of 970228.W/Certificate of Svc ML20138Q0191997-02-28028 February 1997 Initial Decision.* Concludes That Rl Tetrick Had Passing Score of 80% & Should Be Granted License as Sro. W/Certificate of Svc.Served on 970228 ML20134A6551997-01-23023 January 1997 Written Presentation of NRC Staff.* Staff Concludes That SE Turk Failed Written Exam & Did Not Establish Sufficient Cause to Change Grading of Answers to Listed Questions. Denial of Application for SRO License Should Be Sustained ML20134A6661997-01-23023 January 1997 Affidavit of B Hughes & Ta Peebles Re Denial of Application for SRO License.W/Certificate of Svc.Served on 970124 ML20129J5681996-10-23023 October 1996 Memorandum & Order (Error).* Informs of Incorrect Caption Identified in Order .W/Certificate of Svc.Served on 961023 ML20129D4981996-10-21021 October 1996 Memorandum & Order (Grant of Request for Hearing Scheduling).* Requests for Hearing Hereby Granted. W/Certificate of Svc.Served on 961021 ML20129D6681996-10-18018 October 1996 NRC Staff Answer to Rl Tetrick Request for Hearing.* Staff Does Not Oppose Request & Will Be Prepared to Submit Hearing File.W/Certificate of Svc & Notice of Appearance ML20129D4401996-10-0909 October 1996 Designating of Presiding Officer.* Pb Bloch Designated to Serve as Presiding Officer to Conduct Informal Adjudicatory Hearing in Proceeding of Rl Tetrick Re Denial of SRO License.W/Certificate of Svc.Served on 961010 ML17353A6311996-01-19019 January 1996 Decision & Remand Order Re FPL Discrimination Against RR Diaz-Robainas.FPL Ordered to Offer Reinstatement to RR Diaz-Robainas W/Comparable Pay & Benefits,To Pay Him Back Pay W/Interest & to Pay His Costs & Expenses Re Complaint ML17353A2471995-06-27027 June 1995 Comments on Proposed Rule Re, Review of NRC Insp Rept Content,Format & Style. 1999-09-07
[Table view] |
Text
E~t Pp , 0~
s TED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION O'Q BEFORE THE ATOMIC SAFETY AND I'ICENSZNG BOARD
~l g4~
In the Matter of Docket Nos. 0'-250 FLORIDA POWER AND LIGHT COMPANY (Turkey Point Nuclear Generating (Proposed Amendments to Facility Unit Nos. 3 and 4) ) Operating Licenses to Permit
) Steam Generator Repair)
INTERVENOR' ANSWERS TO THE NRC STAFF INTERROGATORIES.'AND REQUEST FOR THE PRODUCTION OF DOCUMENTS Intervenor hereby answers the NRC Staff Interrogatories 'and Request for Production of Documents.
Intervenor will amend the interrogatories pursuant to 10 CFR Section 2.740(e). Supplementation asked for beyond'he scope of the requirements of the rule are objected to as not being required.
Contention l.
l-l. a. Yes.
- b. The following witnesses Intervenor has confirmed for the hearings: Dr. Arthur Bowen, Ph.D., Department of Architecture and Planning, School of Engineering':and Architecture, University of Miami, Coral Gables, Florida 33124. Please refer to Dr. Bowen's attached resume.
Dr. Walter Golc&erg, Ph.D., Florida International University, E
Department of Biological Studies. Ph. D.. in Oceanography from the University of Miami, Miami, Florida in 1973. Specializes in radio-ecological studies of the impacts of radionucleoids on marine organisms and the marine environments. He is a member of the Health Physics Society. He has served as consultant to the Florida Department of Environmental Regulation.
Dr. Robert Anderson, Ph.D., Department of Materials Engineering, San Pose State College, San Jose, California. At the present time Intervenor is. unable to provide the NRC Staff with Dr. Anderson'~s 80011.00 Dg f M
4i ,
I
'I
educational background and professional qualifications, however.
the answer will be supplemented.
Dale Bridenbaugh, M.H. B. Technical Associates, 1723 Hamilton Avenue, Suite K, San Jose, California 95125. Past employee of the Nuclear Division of General Electric. Company, 1955-1976.
'
Dr. Karl Z. Morgan,. Ph.D., Neely Professor, School of Nuclear Engineering, Georgia Institute of Technology, Atlanta, Georgia.
Ph.D. from Duke University. He is a past president of the Health Physics Society.
Dr. Arthur R. Tamplin, Ph.D., National Resources Defense Council, 1025 I. Street, N.W., Washington D.C. 2006, Ph.D. University of California at Berkely in biosphysics. Emp3.oyee, Lawerence-Livermore Labortory, 1963-1974.
Intervenor intends to call additional witnesses in the areas of atmospheric sciences, radiochemistry, hydrology and 'soil engineering, alternative energy technologies,, health physics, and economics.
However at'.the present time none of the witnesses contacted in these fields are confirmed. Intervenor will supplement the answer when the information becom'es available.
1-2. Witnesses have not conducted their analysis of the contention to a sufficient degree to provide definitive answers to this interrogatory.
1-3. Not determined at this time.
1-4. Not determined at this time.
1-5. Intervenor considers the St'.earn Generator Repair Report,
'he NRC STAFF Safety Evaluation Report and Environmental Impact Appraisal to be deficient.
The following sections of the SGRR Intervenor considers to be deficient. Sections 1.0, 1.1.4, .1.1.5, 1.1.6, 1.1.7, 1.3, 1.4, 2 2 2 2 1 5 2 2 1 8 2 2 2 1 3 3 4 1 3 ~ 3 4 2~ 3 3 4 3'g 3 ~3 4 ~ 4 3;3.5, 3.3.5.1, 3.3.6.3, 3.3.7.1, 3.3.7.2, 3.3.7.3, 3.4, and 3.4.1.
- Qt Intervenor, also considers Sections 3;4.2i 3 4 5 4g 3 '4 6i 3 4 7I
~
3.4.8,, Table 3.3-2, Table 3.4-1, Table 3.4-2, Table 3.4-4, 4..0.,
5 2 2g 5 2 2 1 5 2 2,2 .2 3 5 2 2 4
~ 5 2 2 5i Table 5 2 1
~
Table 5.2-3, Table 5.2-4', Table 5.2-5, Table 5.2-6, Table. 5.2-7, 6 1
~ 6 2 2 6 3 2I, 6 4 1
~ 6 4 2 6 5i 6 6 2g 6 6 3i Table 6 2 li 7.1, 7.2, 7'.3 of the SGRR to be deficient.
Intervenor considers the following sections of the SER to be deficient: 2.2, 2.1, 2.4, 2.5, 2.6, 2.6.1.1, 2.6.1.2, 2.6.1.3, 2..6.1.4; 2 6 1 Sg 2 6 2I 2 6 3~ 2 6 4g 2 6 5I 2 6 6g 2 7 3 1 3 2 l~ 3 3 1I
~ ~ ~ ~ ~ ~ ~ ~ ~
Table 3.3-1, 3.3.2, 3.4.3., 3.4.2, Table 3.4-1, 3.5 and 4.0.
Intervenor .considers the following sections of the EIA to be deficient: 4.1.1, Table 4.1, 4.1.2, Table 4'.2, 4.2, 4..3, 5.0, 5.1, 5.4, 6.0.
Intervenor objects to that portion of interrogatory 1-5 which calls for an explanation of why Intervenor regards portions of documents deficient on- the grounds that the request calls for trial preparation materials, opinions and analysis. made in anticipation of the hearings without ~y special showing of substantial need as required by 10 CFR:I 2.740(b)(2).
1-6. The National Environmental Policy Act, 42,U.'S.C. s 4332 (2)
(C) .
1-7. Not applicable since the Licensing Board's Order of September 25, 1979.
1-8. 10 CFR s 51.'5 (a) (1) and (b) (2) and s 51.20.
1-9. Not applicable since the Licensing Board's Order of September 25, 1979.
1-10. Intervenor objects to this interrogatory. It is argumentative. Contention 1 contends that an EIS must be prepared by the NRC Staff. Further, the interrogatory calls for trial preparation material without the requisite special showing required by 10 CFR 9 2. 740 (b) (2) .
4~ i
~ >
l-ll. No longer applicable since the Licensing Board's Order of September 25, 1979.
Contention 2.
2-1. a. Yes.
- b. Karl Z. Morgan, Arthur R'. Tamplin, and Dale Bridenbaugh.
See the answer to interrogatory l-l(b), for data on these witnesses.
2-2. Witnesses have not completed their .analysis of the subject matter at issue in Contention 2 'to a sufficient degree of certainty to provide a .definitive answer.
2-3. Not determined at this time.
2-4. Not determined at this time.
2-5. Intervenor considers the following sections of the SGRR to be deficient: 1.1.2, 1.1.4,, 1.1.6, 2.1.2, 3'.3.4.1, 3.3.4.2, 3.3.4.3; 3 3 4 ~ 4g 3 3 4 5~ 3 '3 5g 3' 5 l~ 3 ~ 3 ~ 5 ~ 2~ 3 3 5 3~ 3 3 5 4~ 3~3~5~5 3.3.6.1, 3.3.6..2, 3.3.6.3, 3.3.7.1, 3.3.7.2, 3.3.7.3, 3.4.1, Table 3.3'-2, 4.0, 5.2.2.1, .5.2.2.2, Table 5.2-3, Table 5;2-2, 6.1, 6.6.2, 6.6.3, 7.6, 7.9, Table 7.4-1, A-15-1, A-33-1, A-40-1, A-40-2.
Intervenor considers the following sections of the SER to be I
deficient: 2.4, 2.5, 2.6, 2.6.1.1, 2.6.1.2, 2..6.1.3, 2.6.,1.4, 2.6.1.5, 2 ~ 6 ~ 3~ 2 6 4g 2 ~ 6 5~ 2 7~ ~ 3 ~ 4 2g 3 '5 4 ~ 0 ~
Intervenor considers the following sections of the EIA to'be deficient. 4.1.1, Table 4.1, 5.0, 5.1, 6.0.
Intervenor objects to the recpxirement of an explanation of why each section is deficient because it asks 'for trial preparation material without the showing of substantial need of the materials. 10 CFR s 2.740 (b) ~
2-6. 10 CFR 8 20.101,. 20.102, 20.103, 20.206, and 20.401.
2-7;. Not applicable.
2-8. Not applicable.
.I
~ I
2-9. Yes. See answer 2-2.
Contention 3.
3-1. a. Yes.
- b. Dr. Arthur Tamplin, Dale Bridenbaugh, and Dr. Robert Anderson. See the answer to interrogatory 1-1(b) for data on these witnesses.
3 2~ See responses to interrogatories 1-2 and 2-2.
3-3. Not determined at this time.
3-4. .Not d'etermined at this time.
3-5. Intervenor considers the following sections of the SGRR to be deficient: 1.1.5, 1.3, 3.3.4.4, 3.3.6.3, 3.4.5.4, 3.4.6, 5.2.2, 5.2.2.4, 5.2.2.5, 6.1, 6.3.2, 6.5, 8.1, 8.2, Table 5.2-4, Table 5.2-5, Table 5.2-6, Table 5.2-7, A-32-1, D-6-1.
Intervenor considers the following sections of the SER to be deficient: 2.6.2, 2.6.4, 3.4.2, and 4.0.
Intervenor considers the following sections of the EIA to be deficient: 4.1.2, 5.0, 6.0, Table 4.2.
Intervenor objects to the request for an explanation on the grounds that it requests /rial preparation material without the showing of 'substantial need for the materials required by 10 CFR s 2.740 (b) (2) ~
3-6. 10 CFR s 20.1 C, 20.106 B, 20.201, Appendix B.
3 7 10 CFR s 50.10 C,l, 50.10 E 2, 50.30 F, 50.40 D, Appendix I.
3-8, 3-9, 3-10, 3-11 are inapplicable since the Licensing Board's Order of September 25, 1979.
3-12. The processing and final disposition of liquid wastes and effluents as mentioned in SGRR 3.3.6.3 and 5.2.2.4. Storage of primary coolant in SER 2.6.4.
(Qi 3-13. Intervenor objects to this interrogatory. It is argumentative and calls for trial preparation material with out the substantial showing required by 10 CFR s 2..740 (b)(1).
Contention 6.
6-1. '.b.
Yes.
Dr. Robert Anderson. See response to interrogatory l-l (b) .
6-2. See response to interrogatory 1-2, and 2.
.:2.
6-3. Not determined at this time.
6-4. Not determined at this time.
6-5. The following sections of the SGRR', SER, and EIA Intervenor considers to be deficient. SGRR: 1.1.5, 1.1.7, 1.4, 3.3.4.4, 3.4, 3 4 lg 3 4 2g 3 4 6g 3 4 7~ 3
~ ~ ~ 4'/ 5 2 2g 6 lg '6 2 2J 8 1/ 8 2/
- 8. 3. 1. 1, 8. 3. 2. 6, Table 3. 4-1, Table 3. 4-4, A-48-1, D-2-1; SER:
2.6.6, 2.7, 4.0. EIA: 4.1.2, 5.4, 6.0, Table 4.2.
Intervenor objects to the request for an explanation on the grounds that it requests trial preparation materials without the showing of substantial need for the materials required by 10 CFR s 2.740 (b) (2),.
6-6. 10 CFR s 50.10C, 50.10E,'50.30F, 50.34A, 50.40D, Appendix I.
6-7, 6.-8, 6-9, 6-10, 6-11, 6-12, and 6-13 are no 1'onger applicable since the Licensing Board's Order of September 25, 1979.
Contention 7.
7-1. a. Yes.
- b. Dr. Robert Anderson. See response to interrogatory l-l (b) .
7-2. See response to interrogatory 1-2 and 2-2.
i 7-3. Not determined at this time.
7-4. Not determined at this time.
7-5. The SGRR, SER, and EXA are inadequate since in the SGRR and EIA there is no mention of installation of a Condensate Polisher Demineralizer System and the reference in the SER consists of a one sentence mention of the system with no analysis of its effects, costs, or details of the system and its installation.
Contention 9.
9-1. a. Yes.
- b. Karl Z. Morgan, Arthur R.. Tamplin, Halter Goldberg,
.and Dale Bridenbaugh. See response to interrogatory l-l(b).
9-2. See response to 1-2 and 2-2.
9-3. Not determined at this time.
9-4., Not determined at this time.
9-5. The. following sections of the SGRR, SER, and EIA are deficient: SGRR: 1.1.5, 1.3, 3.,3.4.1, 3.3.4.4, 3.3.6.3, 3.4, 3.4.1, 3 42'45 ~ 4g3 4 6/3 4 7t 3 48'
~ ~ ~ 22'221g5222g5223 5 2~2 4 5 2 2 5g 6 ~ 1/ 6 3'/ '6 5 .6 6 3 8 lg '8 2g 8 3 1 lg 8 3 2 6 Table 3.4-1, Table 3.4-2, Table 3.4-4, Table 5.,2-1, Table 5.2-2, Table 5.3-3, Table 5.3-4, Table 5.3-5, Table 5.3-6, Table 5.3-7, A-48-1, and D-6-1. SER: 2.6, 2.6.1.1, 2.6.1.2, 2.6.1.3, 2.6.1.4, 2.6.1.5g 26 2g,2 6 3g264g265g26
~ ~ 6@2 7g4 OE'IA412g50g84g
~ ~
6.0., Table 4.2.
Intervenor objects to .the requirement of an explanation of why each section is deficient because it asks for trial preparation material without the showing of substantial need fox the materials required by 10 CFR s 2.740 (b)(2).
9-6. The witnesses Intervenor intends to call regarding this contention have not completed thei.'r analysis of the subject matter at issue in the contention to a sufficient, degree of certainty to
4~ .ij provide a definitive answer..
9-7'a) 10 CFR s 20.1C, 20.106, 20,.201, 20.301,,Appendix B; and (b) 19 CFR s 50.34A, Appendix I.
Contention 11.
11-1. a. Yes.
- b. Intervenor has no confirmed witnesses's yet, 11-2. See responses to interrogatories 1-2 and 2-2'.
11-3. Not determined at this time.
11-4. Not yet determined.
.11-5'. The following sections of the SGRR, SpR, and EIA are deficient: SGRR: 1.1.6.; 1.3, 1.4, 3.3.,7.1, 3.3.7.2, 3.3.7.3, 4.0, 7'.5, 7.6., 7.7, 7.'8, and 7.9. The EIA: 4.2, 5.0-, 6.0.
Intervenor objects to the requirement of an explanation of wny each .section is deficient because it ask .for trial preparation materials ~
without the showing of substantial need for the materials required by 10'FR s 2.740 (b) (2) .
11-6. The estimate of $ 300,000 per day. per unit was published in December 1977 and'as not, been updated since.
11-7. Intervenor has no accurate figures on replacement power costs..
11-8. Not'.able to be'answered't this time.
Oi I
~ f
11-9. The denial of land commitment. for the repair project is in the SGRR at 6..2.2.
11-10. Yes, the'torage and subsequent leakage of'ontaminants may render the committed, land unusable for an indefinite period '.of time involving possibly many centuries.
ll-ll. The environmental report and the cost benefit analysis were based on erroneous information. The decision to approve the repair project by the NRC Staff needs to. be reconsidered.
11-12. No.
'11-13. See ll-ll.
11-14. No.
11-15. See 11-11.
Contention 13..
13-1. a. Yes.
,b. Dr.'arl Z. Morgan, and Dr. Arthur R'. Tamplin.
See response to interrogatory l-l'(b).
I 1'3-2. See response to interrogatory 1-2'nd 2-2'.
13'-3. Not determined yet.
13-4. Not. determined yet.
13-5. The following sections of the SGRR,, SER, and EIA are
~ i <
~ i
li.
14-'2. See response to interrogatory 1-2 and 2-2.
14-3. Not determined yet.
14-4. Not determined yet.
14-5. ,The following sections of the SGRR and SER are deficient:
SGRR: 1.1.6,,C-4-1, C-4-2, C-4'-3, C-4-4. SER:: 3.2.3, and 4.0.
The EIA has:'no mention of radiological, hazards from fire.
Intervenor objects to .the requirement of an explanation of why each section is deficient because it requests trial preparation material without the showing of substantial need required by 10 CPR s 2. 740 (b) (2) .
14-6. Intervenor has. no confirmed witnesses for this contention as yet and is unable to answer this interrogatory.
14-7. a. 10 CFR I 20.,1C
- b. 10 CFR s S0.34A and Appendix I.
SWORN TO AND SUBSCRIBED BEFORE l1E THIS DAY OP 1979.
@fit(D/lC DoTRPi'2 Ej0 MARK P. ONCA AGF., In rvenor My Commission Expires:
~5 UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND.LICENSING BOARD In the Matter of ) Docket. Nos. 50-250-SP 50-25l-SP FLORIDA POWER 6 LIGHT COMPANY , )
(Proposed Amendments to-(Turkey Point Nuclear Generating ) . Facility Operating License Units Nos. 3 and 4) to Permit Steam Generator Repair)
)
CERTIFICATE OF SERVICE I HEREBY CERTIFY that. copies of the'attached Intervenor's Answers to NRC Staff Interrogatories and Request for Production of Documents were served on the following addressees by deposit in the United States mail, express mail, properly stamped and. addressed, on the date shown below.
Elizabeth S. Bowers, Esq.
Chairperson Atomic Safety and Licensing Board Panel U.S. Nuclear Regulatory Commission Washington, D. C. 20555 Dr. Oscar H. Paris Atomic Safety .and'icensing Board Panel U.S. Nuclear Regulatory Commission Washington, D.C. 20555 Dr. Emmeth A. Luebke p Atomic Safety and Licensing Board Panel U..S. Nuclear Regulatory Commission Washington, D. C. 20555 //
h Atomic Safety and Licensing Board Panel U. S. Nuclear Regulatory Commission Washington, D.C. 20555 Atomic Safety and Licensing Appeal Board Panel U.S. Nuclear Regulatory Commissionn Washington D.C. 20555 Docketing and Service SEction.
Office of the Secretary U,S. Nuclear Regulatory Commiss'ion Washington, D.C. 20555
<i Steven C. Coldberg,, Esq.
Office of the Executive. Legal Director U.S. Nuclear Regulator'y Commission Washington, D.C.. 20555 Harold F. Reis, Esq.
Lowenstein, Newman, Reis, Axelrad 6 Toll 1025 Connecticut Avenue., N.W; Washington, D. C.. 20036 Norman A. Coll, Esq.
Steel, Hector a Davis 1400 Southeast First National BanK Building Miami, Florida 33131
'On this7N day of
,foregoing were hand .delivered, to the
'
offices of 1979. Copies of the Norman A. Coll, Esq.
on December 17' 1979 For Counsel:
RICHARD" A MARSHALLg' R i ESQ 38450 S.W. 212th Street.
Miami, Florida 33187 305.-233-8104
iO