Motion by Applicant Psok for Reconsideration & Mod of Decision ALAB-505.Asserts That Aslab Should W/Draw Any Implication of Misconduct by Counsel for Applicants. Supporting Documentation & Cert of Svc EnclML20150D405 |
Person / Time |
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Site: |
Black Fox |
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Issue date: |
11/17/1978 |
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From: |
Gallo J, Mark Miller, Murphy P ISHAM, LINCOLN & BEALE |
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To: |
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References |
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NUDOCS 7812050347 |
Download: ML20150D405 (12) |
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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20138G3821985-12-12012 December 1985 Order Denying Utils 851029 Request for NRC to Reconsider 850918 Denial of Fee Exemption Request.Situation Does Not Merit Special Treatment.Final Action Will Be Taken After Fee Correctness Matters Resolved.Served on 851212 ML20138K0661985-12-12012 December 1985 Transcript of 851212 Affirmation/Discussion & Vote in Washington,Dc Re SECY-85-367A on Palo Verde 1 Leaseback & SECY-85-371 on Refund on Black Fox License Fee.Pp 1-4 ML20127B0071985-06-14014 June 1985 Application for Waiver of Withdrawal Fees Under 10CFR170.12 for Plant.Assessment of Fees Would Violate Fairness, Public Policy & Value to Applicant Principles.Cancellation of Project Due to NRC Actions.Certificate of Filing Encl ML20127B0221985-06-12012 June 1985 Brief in Support of Application for Waiver of Withdrawal Fees Under 10CFR170.12.Unique Circumstances Described. Informal Hearing Requested.Certificate of Filing Encl ML20132B4341985-06-12012 June 1985 Application for Waiver of Withdrawal Fees Under 10CFR170.12(b).Assessment of Fees Violates Fairness,Public Policy & value-to-applicant Principles of Independent Ofcs Appropriation Act of 1952.Supporting Brief Encl.W/O Encl ML20073B9761983-04-0707 April 1983 Motion to Dismiss Remaining Environ Issue.Aslb 830307 Order Revoked Plant LWA & Published Notice of Withdrawal of Application for Cps.Certificate of Svc Encl ML20071B8151983-02-25025 February 1983 Response to Applicant Motion for Termination of Proceeding & Withdrawal of Application.State of Ok Does Not Intend to File Objections to Motion.Certificate of Svc Encl ML20064N5181983-02-0707 February 1983 Motion for Extension Until 830223 to Respond to Util 830123 Motion for Termination of Proceeding & Withdrawal of Application.W/Certificate of Svc ML20028F1971983-01-24024 January 1983 Notice of Substitution of ML Bardrick for Sj Drake as State of Ok Representative.Certificate of Svc Encl ML20070N7831983-01-23023 January 1983 Motion for 2-day Extension to Respond to ASLB 830107 Order Until 830123.Certificate of Svc Encl ML20070N8211983-01-23023 January 1983 Motion for Termination of Proceeding & Withdrawal of Application.Site Will Be Used for Alternative Power Generation Facility.Site Redress Plan Will Address Return of Site to Undisturbed Condition.Certificate of Svc Encl ML20028C3361983-01-0404 January 1983 Notice of Appearance in Proceeding.Certificate of Svc Encl ML20054J8331982-06-23023 June 1982 Notice of Appearance in Proceeding.Certificate of Svc Encl ML20054G1811982-06-18018 June 1982 Memorandum & Order Denying W/O Prejudice,Applicant 820406 Motion for Termination of Proceeding & Withdrawal of Application.Insufficient Info Exists to Grant Motion Since Util Undecided on Future Plans for Site ML20053D1951982-05-24024 May 1982 Affidavit of JB West on NRC Concerns Expressed During 820517 Site Visit Re Potential Offsite Environ Impact of Erosion & Siltation in Area of Inclined Reactor Pressure Vessel Haul Road Leading from Barge Slip Facilities ML20052G8341982-05-14014 May 1982 Response to ASLB 820429 Order Re Site Redress.Final Decision on Site Redress Should Be Deferred Until Decision Made by End of 1982 on Future Power Projects.Certificate of Svc Encl ML20052G8381982-05-13013 May 1982 Affidavit of JB West Describing Preliminary Site Const Activities Undertaken & Current Plans for Site Redress ML20050E2821982-04-0606 April 1982 Motion for Termination of Proceeding & Withdrawal of Application W/O Prejudice.Util on 820216 Decided to Cancel Plants.Certificate of Svc Encl ML20040H4671982-02-12012 February 1982 Response to NRC & Applicant Opposition to Intervenor Motion to Reopen Record on ECCS Matters ML20040H4741982-02-11011 February 1982 Affidavit of Gc Minor Re ECCS Issues.Results of Tests or Analyses Which Erode Basis for Assumed Adequacy Must Be Resolved or Possible Design Deficiencies Corrected to Assure Safe Operation.Certificate of Svc Encl ML20040G6171982-02-10010 February 1982 Response to Citizens Action for Safe Energy,Younghein & Burrell 820201 Reworded Contention on Financial Qualifications.Contention Should Be Admitted.Certificate of Svc Encl ML20040F3641982-02-0101 February 1982 Proposed Contentions in Light of SER Suppl 3 ML20040F3741982-02-0101 February 1982 Reworded Contention Re Financial Qualifications Per ASLB 811217 Order.Certificate of Svc Encl ML20040D5691982-01-25025 January 1982 Interrogatories & Request for Production of Documents,Per ASLB 811014 & 1217 Orders.Certificate of Svc Encl ML20040D5711982-01-25025 January 1982 Interrogatories & Request for Production of Documents,Per ASLB 811014 & 1217 Orders.Certificate of Svc Encl ML20040D8371982-01-25025 January 1982 Reply Opposing Citizens Action for Safe Energy,L Burrell & I Younghein 820120 Motion to Abate Proceedings.Ok Corporation Commission Opinion Only Advisory & Alternatives to Cancellation Are Viable.Certificate of Svc Encl ML20040C0801982-01-21021 January 1982 Motion for Extension of Time Until 820102 to Respond to Intervenors' Motion to Reopen Record Re ECCS Models Deficiencies.Licensee Affiant Seriously Ill & No Other Affiant Available.Certificate of Svc Encl ML20040C0591982-01-20020 January 1982 Motion to Abate Proceedings Until 820125.OK Corp Commission 820115 Order Directed Applicants to Advise Commission of Decision on Whether to Proceed W/Const within 30 Days. Certificate of Svc Encl ML20040A9641982-01-15015 January 1982 Decision of Ok Corporation Commission Denying Util Request for Rate Base Treatment of Const Investment for Facility. Proposes Facility Be Converted to Coal.Nrc Dilatory Actions Re TMI Accident Cited as Influencing Factors ML20040A8221982-01-11011 January 1982 Notice of Withdrawal of Appearance in Proceeding.Certificate of Svc Encl ML20039G1041982-01-0707 January 1982 Motion for Extension of Time Until 810122 to Reply to Intervenor Motion to Reopen Record Re ECCS Model Deficiencies.Info Supporting Motion to Reopen Record within GE Custody So GE Must Review Matl.Certificate of Svc Encl ML20039E8671982-01-0505 January 1982 Affidavit That Neither Interim Containment Loads Rept, Mark III Containment, Revisions 3 or 4 or Info in Mb Fields Dec 1981 Memo Have Any Significant Effect on Preliminary Mark III Containment Design of Facility ML20039E1111981-12-29029 December 1981 Motion to Reopen Record Re ECCS Model Deficiencies.Board Notification 81-49 Indicates Discovery of Info of Matters of Serious Safety Significance & Warrants Reopening of Record. Certificate of Svc Encl ML20039C2351981-12-22022 December 1981 Response to NRC & Applicant Responses to Contentions Re Hydrogen Control Issues.Contention Should Be Accepted by Aslb.Certificate of Svc ML20039B0841981-12-14014 December 1981 Notice of Appearance in Proceeding.Certificate of Svc Encl ML20062M3441981-12-0808 December 1981 Response to Citizens Action for Safe Energy,L Burrell & I Younghein 811120 Proposed Contentions.Opposes Hydrogen Control Contention as No Issue of Fact Suitable for Resolution Stated & Contention Lacks Reasonable Specificity ML20039A1791981-12-0808 December 1981 Notice of Appearance in Proceeding ML20005C0661981-11-10010 November 1981 Reply to Intervenors 811105 Motion for Extension Until 811121 to File Addl Contentions.Util Does Not Opppose Motion.Response Date of 811208 Should Be Established. Certificate of Svc Encl ML20005C1051981-11-0505 November 1981 Motion to Modify ASLB 811014 Order by Extending Until 811121,time within Which to Identify & Propose Contentions Re Hydrogen Control.J Callo 811021 Ltr & Certificate of Svc Encl ML20005C0201981-11-0505 November 1981 Proposed Contentions for Continued Radiological & Safety Hearings ML20010D1671981-08-18018 August 1981 Notice of Change of Svc List.Ja Basile Should Replace Vl Conrad ML19345A7161980-10-31031 October 1980 Order Transferring Civil Action 80-2659 to Us District Court for Central District of Il.Reed Rept May Not Be Released Pending Disposition ML19344E2531980-08-25025 August 1980 Motion for Appearance of FW Taylor & Withdrawal of Rf Berger in Civil Action 80-1566 Before Us Court of Appeals for DC Circuit ML19344B3121980-08-18018 August 1980 Notice of Withdrawal in Proceeding.Certificate of Mailing Encl ML19344B3131980-08-18018 August 1980 Notice of Appearance in Proceeding.Certificate of Mailing Encl ML19330B2201980-06-30030 June 1980 Notices of Jg Thomas & CS Rogers Withdrawal & Rf Berger Appearance in Proceeding.Certificate of Svc Encl ML19320A7861980-06-24024 June 1980 Motion to Intervene as Interested State in Case 80-1566 Before Us Court of Appeals for DC Circuit.Nrc Regulations Grant States Legal Right to Intervene at Appeal Stage. Certificate of Svc Encl.Related Correspondence ML19344D7871980-04-0707 April 1980 Brief Amicus Curiae Re Certified Question of Whether Litigation of Health Effects of Normal Radioactive Releases Is Barred as Matter of Law.Issue Is Precluded in Absence of Special Circumstances.W/Certificate of Svc ML19305E0841980-04-0707 April 1980 Memorandum Stating Views Re Question Certified in ALAB-573. Consideration of Health Effects from Emission within App 1 Limits Is Central & Controlling Factor.Certificate of Svc Encl ML19305E1741980-04-0101 April 1980 Statements of Position Re Certified Question of App 1 of 10CFR50 Concerning Litigation of Health Effects of Routine Radioactive Emissions.Urges Dismissal of Inquiry.Certificate of Svc Encl 1985-06-14
[Table view] Category:PLEADINGS
MONTHYEARML20073B9761983-04-0707 April 1983 Motion to Dismiss Remaining Environ Issue.Aslb 830307 Order Revoked Plant LWA & Published Notice of Withdrawal of Application for Cps.Certificate of Svc Encl ML20071B8151983-02-25025 February 1983 Response to Applicant Motion for Termination of Proceeding & Withdrawal of Application.State of Ok Does Not Intend to File Objections to Motion.Certificate of Svc Encl ML20064N5181983-02-0707 February 1983 Motion for Extension Until 830223 to Respond to Util 830123 Motion for Termination of Proceeding & Withdrawal of Application.W/Certificate of Svc ML20070N8211983-01-23023 January 1983 Motion for Termination of Proceeding & Withdrawal of Application.Site Will Be Used for Alternative Power Generation Facility.Site Redress Plan Will Address Return of Site to Undisturbed Condition.Certificate of Svc Encl ML20070N7831983-01-23023 January 1983 Motion for 2-day Extension to Respond to ASLB 830107 Order Until 830123.Certificate of Svc Encl ML20050E2821982-04-0606 April 1982 Motion for Termination of Proceeding & Withdrawal of Application W/O Prejudice.Util on 820216 Decided to Cancel Plants.Certificate of Svc Encl ML20040H4671982-02-12012 February 1982 Response to NRC & Applicant Opposition to Intervenor Motion to Reopen Record on ECCS Matters ML20040D8371982-01-25025 January 1982 Reply Opposing Citizens Action for Safe Energy,L Burrell & I Younghein 820120 Motion to Abate Proceedings.Ok Corporation Commission Opinion Only Advisory & Alternatives to Cancellation Are Viable.Certificate of Svc Encl ML20040C0801982-01-21021 January 1982 Motion for Extension of Time Until 820102 to Respond to Intervenors' Motion to Reopen Record Re ECCS Models Deficiencies.Licensee Affiant Seriously Ill & No Other Affiant Available.Certificate of Svc Encl ML20040C0591982-01-20020 January 1982 Motion to Abate Proceedings Until 820125.OK Corp Commission 820115 Order Directed Applicants to Advise Commission of Decision on Whether to Proceed W/Const within 30 Days. Certificate of Svc Encl ML20039G1041982-01-0707 January 1982 Motion for Extension of Time Until 810122 to Reply to Intervenor Motion to Reopen Record Re ECCS Model Deficiencies.Info Supporting Motion to Reopen Record within GE Custody So GE Must Review Matl.Certificate of Svc Encl ML20039E1111981-12-29029 December 1981 Motion to Reopen Record Re ECCS Model Deficiencies.Board Notification 81-49 Indicates Discovery of Info of Matters of Serious Safety Significance & Warrants Reopening of Record. Certificate of Svc Encl ML20005C0661981-11-10010 November 1981 Reply to Intervenors 811105 Motion for Extension Until 811121 to File Addl Contentions.Util Does Not Opppose Motion.Response Date of 811208 Should Be Established. Certificate of Svc Encl ML20005C1051981-11-0505 November 1981 Motion to Modify ASLB 811014 Order by Extending Until 811121,time within Which to Identify & Propose Contentions Re Hydrogen Control.J Callo 811021 Ltr & Certificate of Svc Encl ML19344E2531980-08-25025 August 1980 Motion for Appearance of FW Taylor & Withdrawal of Rf Berger in Civil Action 80-1566 Before Us Court of Appeals for DC Circuit ML19305E0841980-04-0707 April 1980 Memorandum Stating Views Re Question Certified in ALAB-573. Consideration of Health Effects from Emission within App 1 Limits Is Central & Controlling Factor.Certificate of Svc Encl ML19305E1741980-04-0101 April 1980 Statements of Position Re Certified Question of App 1 of 10CFR50 Concerning Litigation of Health Effects of Routine Radioactive Emissions.Urges Dismissal of Inquiry.Certificate of Svc Encl ML19290F1831980-03-0404 March 1980 Response in Opposition to Citizen'S Action for Safe Energy,L Burrell & I Youngheim 800226 Motion to Strike Applicants' Class 9 Accident Pleadings Alleging Lateness.Five Addl Days Granted by Rules When Svc Is by Mail.W/Certificate of Svc ML19305C9251980-02-26026 February 1980 Intervenor Response to Applicant Motion to Strike Response of Ok Attorney General to ASLAB-573.State of Ok Response Contains Important & Substantive Comments & Should Be Adopted to ALAB-573.Certificate of Svc Encl ML19305C9321980-02-26026 February 1980 Intervenor Motion to Strike Applicant Motion to Dismiss Class 9 Accident Inquiry & Motion to Strike Response of Ok Attorney General to ALAB-573.Proceeding Should Be Judged on Merits & Not Technicalities.Certificate of Svc Encl ML19290F1291980-02-26026 February 1980 Response in Opposition to Applicant'S 800211 Pleadings to Strike State of Ok Response to ALAB-573.Urges Commission to Reject Applicants Late Responses Re Need to Consider Class 9 Accident Consequences ML19290F1321980-02-26026 February 1980 Motion to Strike Applicant'S 800211 Motion to Dismiss Class 9 Accident Inquiry,Applicants' 800211 Motion to Delete State of Ok Response to ALAB-573 & Applicants 800211 Response to Aslab Inquiry Re Need to Consider Class 9 Consequences ML19290F1351980-02-26026 February 1980 Response in Opposition in Applicants 800211 Motion to Strike State of Ok Response to ALAB-573.Although Not Participating Party,State of Ok May Give Advice to Commission W/O Taking Position on Issues Per 10CFR2.715(c) ML19290F1371980-02-26026 February 1980 Response in Opposition to Applicant'S 800211 Motion to Dismiss Class 9 inquiry.Safety-related Class 9 Issues Differ from Question of Timely Class 9 Environ Impact Analysis ML19211C8701980-01-0404 January 1980 Motion to File Brief If Commission Accepts Review of Certified Issue Re Litigation of Radioactive Effects. Significant Interest by Tx Utils Generating Co Justifies Filing as Amicus Curiae.W/Certificate of Svc ML19260A6101979-11-16016 November 1979 Motion for Clarification of Commission 791105 Final Statement Modifying Adjudicatory Procedures.Questions Whether Final Statement Supersedes or Supplements Commission 791005 Interim Statement.Certificate of Svc Encl ML19276H4861979-10-30030 October 1979 Response in Opposition to Applicants' 791015 Suggestion of Hearing Schedule.Applicant Failed to Show That near-term Hearings Should Be Held.If Schedule accepted,long-term TMI-2 Issues Should Be Heard.Certificate of Svc Encl ML19210C2951979-10-15015 October 1979 Suggests Hearing Schedule.Supports NRC 791109 Response to Applicants' Request for Hearing & to Intervenors' & Atty General Supplemental Answers.Suggests Prehearing Conference to Establish Procedures.W/Excerpt of 791004 Transcript ML19254E4111979-09-20020 September 1979 Response in Opposition to Applicant Motion for Commission Hearings.Urges ASLB Forestall Issues Concerning TMI-2, Publication of Results of Kemeny Commission & Rogovin Special Inquiry.Certificate of Svc Encl ML19250B7901979-09-20020 September 1979 Response to Applicants' Motion for Commission Action.Issues Raised by TMI-2 Accident Should Be Addressed in Applications for CP.Long-term Lessons Learned Recommendations & Kemeny Commission Rept Should Be Incorporated.W/Certificate of Svc ML19259D6641979-08-27027 August 1979 Response by Intervenors to Util 790811 Request for Hearing & Motion Establish Hearing Schedule.Hearings Should Be Held After Study of TMI Repts.Operating Data Should Be Available Certificate of Svc Encl ML19209B0851979-08-27027 August 1979 Response Submitted by Intervenor State of Ok to Util 790811 Request That ASLB Reopen Record for Hearings.Public Interest Requires Reopening Record for Litigation of TMI-related Issues.Supporting Documentation & Certificate of Svc Encl ML19249F0181979-08-11011 August 1979 Requests That ASLB Deny State of Ok 790419 Motion for Indefinite Stay.Seeks Reopening of Hearings to Explore Aspects of TMI Pertinent to Proceedings.Aslb Should Reopen Record & Establish Hearing Schedule ML19224C8171979-05-31031 May 1979 Seeks Denial of NRC 790518 Request for Deferral of Decision on Question of Opening Record.If Any Pending Motion Is Decided Adversely to Util,Ruling Should Be Referred to Aslab.Certificate of Svc Encl ML19224D6941979-05-21021 May 1979 Requests That ASLB Allow Ps of Ok to Responds to NRC 790518 Answer to State of Ok Motion for Indefinite Stay.Parties Request Various Forms of Relief.Parties Have No Objection to Motion.Certificate of Svc Encl ML19261E3701979-05-18018 May 1979 Request by Util Re Intervenors 790427 Motion to Reopen Record.Seeks Denial of Request Re Financial Qualification, Tmi,Class 9 Accidents & Emergency Planning & post-accident Monitoring.Certificate of Svc Encl ML19224C8291979-05-17017 May 1979 Answer by Util to NRC 790509 Finding of Facts Re Eccs. Requests That ASLB Treat Findings as Final & Make Record Ready for Decisions.Nrc Is Not Following Rules of Practice. Certificate of Svc Encl ML19261D8331979-05-11011 May 1979 Response by Applicants to State of Ok Motion for Indefinite Stay in Issuance of Initial Decision.State Lacks Standing to File Motion W/Aslb;Legal Requirements for Obtaining Stay Have Not Been Met.W/Supporting Ltr & Certificate of Svc ML19224C8251979-05-10010 May 1979 Notifies ASLB of Participation of County of Columbia,Ny & Town of Stuyvesant,Ny,Per 10CFR2.715(c).Contentions of Concerned Citizens for Safe Energy,Inc Will Be Adopted If Necessary ML19224C8191979-05-10010 May 1979 Forwards & Adopts Contentions of Concerned Citizens for Safe Energy.Contentions Supplement Petition to Intervene ML19224C8241979-05-10010 May 1979 Contentions of Concerned Citizens for Safe Energy,Inc & Town of Stuyvesan,Ny,In Response to NRC 790205 Notice.Submits Contentions Re Choice of Stuyvesant as Alternate Site & Cost & Benefit of Facility.Reserves Right to Amend Contentions ML19263E6631979-05-0404 May 1979 Requests ASLB Grant Extension Until 790518 for Util to File Answer to Intervenors 790419 Motion for Indefinite Stay of Initial Decision.Motion Seeks Addl Relief,Reply Is Warranted.Certificate of Svc Encl ML19263E3031979-04-30030 April 1979 Util Request That ASLB Grant Extension Until 790501,to Permit Util to File Answer to State of Ok 790419 Motion for Indefinite Stay in Issuance of Initial Decision. Certificate of Svc Encl ML19269D4181979-04-26026 April 1979 Response by Util to Proposed Findings of Fact & Conclusions of Law from NRC & Joint Intervenors Citizens Action for Safe Energy,I Younghein & L Burrell.Limited to Findings Where Clarification of Record Is Required ML19289E8781979-04-0303 April 1979 Requests Extension Until 790412 to File Proposed Findings of Facts & Conclusions of Law.Certificate of Svc Encl ML19274E4051979-03-0101 March 1979 Intervenors' Motion to Suppl Record W/Tulsa Urban Study, Prepared by Us Army Corps of Engineers.Excerpt from Study & Certificate of Svc Encl ML19274E4361979-02-27027 February 1979 State of Ok'S Petition to Participate as Interested State. Notices of Appearance of Jg Thomas & CS Rogers & Certificate of Svc Encl ML19261B2691979-01-24024 January 1979 Applicants' Response to NRC Motion for Preliminary Ruling Re Initiating Causes for Design Basis Fires.Urges Denial of Motion W/O Prejudice as Untimely & Informs of Intent to Submit Addl Testimony.Certificate of Svc Encl ML19270F0601979-01-0505 January 1979 Motion by Applicant W/Suggested Schedule for Proceeding in Hearings.Counsel for All Parties Are Amenable to the Timetable.Certificate of Svc Encl ML19289C8671979-01-0404 January 1979 Request by Intervenors That Oral Argument Be Postponed for Not Less than 60 Days.Intervenors Have No Funds at the Moment to Pay for Trip to Washington,Dc.Certificate of Svc Encl 1983-04-07
[Table view] |
Text
. _ _ _ _ _ _ _ _ _ _ .
11/17/78 UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING APPEAL BOARD In the Matter of the Application of )
Public Service Company of Oklahoma, )
Associated Electric Cooperative, Inc.) Docket Nos. STN 50-556 and ) STN 50-557 Western Farmers Electric Cooperative )
)
(Black Fox Station, Units 1 and 2) )
MOTION TO RECONSIDER AND MODIFY ALAB-505 In ALAB-505, the Appeal Board took issue with the i 1
following statements appearing in Applicants' response to 1
Intervenors' motion for a stay of the LWA for the Black Fox l l
Station: )
1 "Although Intervenors state on page 2 of their Motion that this was done,
[ filed a motion for a stay with the Licensing Board before taking the matter to the Appeal Board] they are simply wrong. Intervenors provide no citation in support of their assertion, and, based on its review of the pleadingsfiledpnthiscase, can find none."1 Applicants l I
In the Appeal Board's view, the above-quoted statements do not fairly characterize the state of the record, and as a consequence, it criticized Applicants' counsel for what it believed to be a failure to discharge its " ironclad obligation" of candor.2 /
b/ " Applicants' Opposition To Intervenors' Motion for Order Staying LWA Pending-Appeal," dated October 27, 1978, p.3.
/ Memorandum and Order, dated November 2, 1978, ALAB-505, slip l op. pp. 9-10.
i 78120503Yi
t l,.. ,
i i-i !
For'the reasons' set forth below, the Appeal Board should reconsider F
- and modify ALAB-505 by withdrawing any implication of misconduct
! by counsel for Applicants.3/
i At issue is the proper interpretation to be given j to a letter dated September 5, 1978 from one of Intervenors' l
j attorneys, Mr..Farris, to the Chairman of the Licensing Board.4/
I j A copy is attached hereto for ease of reference. The Appeal 1
i Board construes ~this letter to be tantamount to requesting a stay of relief from the Licensing Board.b! Applicants did not j so construe the letter in its October 27 reply, and after a i
! fresh look at the situation we continue to believe that'the i
! September 5, 1978 letter.cannot be fairly characterized as a
!~ motion.for a stay. The letter, which was not served on the other l parties to the proceeding, simply asserts that the LWA should be f revoked 'because the Licensing Board violated Section 401(a) (1) of f
i d
-3/ Although only the signature of Mr. Paul M. Murphy appears on l Applicants' October 27, 1978 response in opposition to j Intervenors' motion for a stay of the LWA, the pleading was
- reviewed'by Joseph Gallo under the general supervision of l Michael.I. Miller. Consequently, Applicants' request that, i lregardless of its ruling with respect to this Motion, ALAB-505 i as a minimum be amended to show Messrs. Miller and Gallo as l well as Mr. Murphy aus counsel of record.
i 4 /'
It is our understanding that Mr. Dalton continues to represent Intervenors, including CASE with respect to the pursuit of their appeal from the Licensing Board's " Partial Initial Decision" 4
Authorizing Limited Work Authorization, dated July.24, 1978.
Mr. Farris and his. firm represent Intervenors in the ongoing health-and safety hearings.
5/ ALAB-505, slip op. p.9.
l
?
1 -
the Federal Water Pollution Control Act when it authorized the issuance of the LWA. No argument was offered in support of their position, and Applicants, in their response to the letter before the Licensing Board styled that letter as a motion for reconsideration and did not address the factors set forth 1:.10 CFR S 2.788 applicable to a stay. It appears that a more accurate characterization might be that Intervenors were placing the Licensing Board on notice pursuant to Section 505 (b) (1) (A) (ii) of the Federal Water Pollution Control Act of its intent to file a lawsuit in the United States District Court unless it revoked the LWA. Indeed, only such an interpretation might explain the lack of any legal argument in the letter, i.e., the author of a letter providing notice of an intended action would not deem it necessary to expand the letter with argument. That this interpretation is more likely than that hypothesized by the i
Appeal Board is demonstrated by the fact that Applicants' counsel I l
received the letter, not from Intervenors' counsel, but rather l
1 from the NRC's docketing section. Indeed, to this day Intervenors' l l
counsel have not identified the letter or any other document as l l
the source of the request for relief from the Licensing Board.
Significantly, the draftsman of the letter did not then and does not now infer that the letter be taken as anything other than a notice of intent to file litigation. (See Affidavit of Paul l 1
M. Murphy, attached).
l
l
\
l 1
l l
l In any event the Licensing Board construed the letter as a motion for reconsideration stating as follows:
"The motion is denied because the argument is barren and conclusional ,
in failing to delineate wherein our i decisionwaserroneousgyor improvidently issued."-
The Appeal Board's judgment that the letter could be otherwise l construed as a motion to stay is clearly a doubtful one. We believe it is unfair to criticize counsel when the facts which underlie the criticism are equivocal. The matter is not advanced by the Appeal Board's further observation that it "should have been perfectly obvious to the applicants (' counsel], given the Licensing Board's September 29 order any further attempt to obtain a lifting of the limited work authorization by the Board would have been futile."1/ Such a judgment is not warranted.
Since arguments in favor of a stay were not presented by the Intervenors, we are unable to devine what the Licensing Board's ruling would have been had Intervenors filed a stay motion in accordance with the requirements of 10 CFR S 2.788 and, in particular, subsection (e). The Appeal Board's willingness to !
prejudge the Licensing Board's ruling is a disservice to the Licensing Board as well as Applicants' counsel.
l The undersigned are committed to the obligation of I
complete candor to the Appeal Board and any other judicial or ]
quasi-judicial body. Our obligation in this respect is without 5/ See Page 1 of the Licensing Board's Order, dated September 29, 1978.
1/ ALAB-505, slip op. p. 9, fn. 14.
4 qualification. Likewise, the Appeal Board has an obligation to those who practice before it. The Appeal Board must recognize the significance of its position and power when it levies criticism at counsel. To be sure, the Appeal Board must insist upon the conduct of the highest standards of practice. However in cases such as this where the criticism rests solely on its interpreta-tion of the record and the actions of others, the reasonableness of which are fairly open to challenge, the Appeal Board should have investigated further before publishing its criticism.
In view of the foregoing, Applicants' request that the Appeal Board reconsider and modify ALAB-505 by (i) adding l
the names of Michael I. Miller and Joseph Gallo as attorneys of l 1
record, and (ii) striking section 2. beginning with the last two l i
lines on page 6 and continuing through the first seven lines on page 10.
Da';,ed : November 17, 1978 Respectfully submitted,
. A l
f_ J ] =
ichael I. Miller gsepl)/Gallo kA ,- .)
Paul M. Murphy g 4 ISHAM, LINCOLN & BEALE Attorneys for the Applicants.
One First National Plaza Suite 4200 Chicago, Illinois 60603 (312) 786-7500 1050 Seventeenth Street, N.W.
Suite 701 Washington, D. C. 20036 (202) 833-9730
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September 5,1973 )
i Mr. Sheldon J. Wolfe, Esq. l
,.tuinic Safety and Licensing Board Panel l
U.S. Nuclear Regulatory Commission Washington, D.C. 20555 Deer Mr. Wolfe:
4 On behalf of Citizens Action for Safe Energy (C.A.S.E.), an crganization of Oklahoma residents who are intervenors in an action
.%nding before the Atomic Safety and Licensing Appeal Board, sty!cd
'f tbo Matter of Public Service Comoany of Oklahoma. Associated Elec-frjn Coooerative, Inc. , and Western Cooperative (Black Fox Station Units 1 and 2), Docket Nos. STN 50-556 and 50-557, I hereby request that you revoke the Limited Work Authorization issued to Public Ser-A vico Company of Oklahoma, et al., by the Licensing Board Panel on fi'ly 25,1978 due to violation of 33 USC Sec.1341(a)(1) (Sec. 401(a) i.'l) of the Federal Water Pollution Control Act), in that the Oklahoma ,
W..ter Resources Board never certified Public Service Company of Okla- I hi.wa's plans, nor was there a waiver of such certification. )
Should such revocation of the Limited Work Authorization not be forthcoming, I hereby give ybu notice in compliance with 33 USC Soc.1365(b)(1)(A)(ii) (Sec. 505(b)(1)(A)(11) of the Federal Water Pollu-ilon Control Act) that C.A.S.E. Intends to sue in the United States District Court for the Northern District of Oklahoma for a Writ of Man-d'.mus compelling the Atomic Safety and Licensing Board to revoke
, the Limited Work Authorization.
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i UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING APPEAL BOARD In the Matter of the Application of ) ,
Public Service Company of Oklahoma, ) )
Associated Electric Cooperative, Inc. ) Docket Nos. l and ) STN 50-556 l Western Farmers Electric Cooperative ) STN 50-557
)
(Black Fox Units 1 and 2) )
STATE OF ILLINOIS )
) SS COUNTY OF COOr; }
AFFIDAVIT OF PAUL M. MURPHY I, Paul M. Murphy, being first duly sworn, on l 1
oath state that the information contained in the attached l Affidavit is true and correct and is based on personal knowledge of the. facts cited therein.
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~ Paul M." Murphy / l Subscribed and sworn to before me this 16th day of November, 1978. , - ,
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Notary Public My commission expires: k f, /9 Y/
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i AFFIDAVIT OF PAUL M. MURPHY
[ I, Paul M. Murphy, being duly sworn, state under oath:
- 1. 1t an one of the attorneys representing Public Service Company of Oklahoma, Associated Electric Cooperative,
{
i Inc. and Western Farmers Electric Cooperative (" Applicants")
- in Docket Nos. STN 50-556 and STN 50-557.
- 2. Shortly after September 11, 1978, I received 2
from the NRC Docketing Service a copy of a letter dated September 5, 1978 from Mr. Joseph R. Farris to Mr. Sheldon l J. Wolfe. Although the letter was from one of the attorneys
. representing Intervenors, it was directed to the Chairman of the Licensing Board and appeared to request affirmative
- relief in the above cause, it was not served on myself or any other attorney representing the Applicants, nor does it
. appear on its face to have been sent to the Applicants.
i Because Mr. Farris had recently entered his appearance in this
) proceeding and may have been unfamiliar with the rules of i
practice, I telephoned him to point out that 10 CFR S 2.701(b) and S 2.730 (a) would appear to require that requests such as i
l that made in his September 5, 1978 letter be served on counsel for Applicants. I also pointed out that 10 CFR S 2.780 (a) !
i appears to prohibit the type of ex parte communication embodied !
L, in the September 5, 1978 letter.
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- 3. To the best of my recollection, Mr. Farris express some surprise that I characterizeihis letter as a request for affirmative relief that would be subject to the rules of practice I cited. He stated, in essence, that he viewed the letter as nothing more than the notice required pursuant to 33 USC S 1365 (b) (1)A (. ) (ii) prior to the filing of a lawsuit against the Licensing Board under that Statute.
I also recall that Mr. Farris said that had he intended the letter as a motion for affirmative relief, he would have prepared a proper motion and complied with the appropriate rules of practice. However, I recall that Mr. Farris did acknowledge that the letter could be read as inconsistent with 10 CFR S 2.780 to the extent that it mentioned revocation of the Black Fox LWA. We then discussed whether under 33 USC S 1365 Intervenors could, in fact, file suit against the Licensing Board. Mr. Maury Efros, a member of Mr. Farris' law firm, and whom I understand actually drafted the letter, joined that portion of the telephone conversation.
- 4. On September 25, 1978, I filed a pleading in response to the letter out of an abundance of caution.
Therein, I expressed my view that to the extent that a revoca-tion of tha LWA was requested, the letter constituted an untimely and unsupported request for reconsideration which should be denied. I did not address the requirements of 10 CFR S 2.788 or the cases decided thereunder, because I did not believe that the letter could be interpreted as a request for a stay of the LWA pending al. peal.
- 5. On November 15, 1978, I telephoned Mr. Maury Efros and asked him again about the September 5, 1978 letter.
He stated'that, he recalled the letter, that he had drafted the letter and that it had been intended only as a statutory notice of intent to file suit. Mr. Efros told me that although he had read ALAB-505, it had not occurred to him that the letter he had drafted was the letter discussed in that decision because the letter was not intended as a motion for a stay.
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UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING APPEAL BOARD In the Matter of the Application of )
Public Service Company of Oklahoma, )
Associated Electric Cooperative, Inc.) Docket Nos. STN 50-556 and ) STN 50-557 Western Farmers Electric Cooperative )
)
(Black Fox Station, Units 1 and 2) )
CERTIFICATE OF SERVICE I hereby certify that a copy of the foregoing" Motion To Reconsider .And Modify ALAB-505 /' was served on the individuals listed below by deposit in the United States mail, first class, this 17th day of November, 1978.
Richard S. Salzman, Esquire Sheldon J. Wolfe, Esquire Chairman, Atomic Safety and Atcmic Safety and Licensing Licensing Appeal Board Board Panel i U.S. Nuclear Regulatory U.S. Nuclear Regulatory I Commission Commission Washington, D. C. 20555 Washington, D. C. 20555 Dr. W. Reed Johnson Mr. Frederick J. Shon, Member Chairman, Atomic Safety and Atomit Safety and Licensing Licensing Appeal Board Panel Bor:d Panel l U.S. Nuclear Regulatory U.S. .uclear Regulatory Commission C mission Washington, D. C. 20555 Wca.sington, D. C. 20555 Jerome E. Sharfman, Esquire, Dr. Paul W. Purdom Chairman, Atomic Safety and Director, Environmental Studies Licensing Appeal Board Panel Group U.S. Nuclear Regulatory Drexel University Commission 32nd and Chestnut Streete Washington, D. C. 20555 Philadelphia, Pennsylvania 19104 l
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- Docketing and' Service Section Mrs. Ilene H. Younghein l Office of the Secretary of 3900 Cashion Place i, 'the Commission Oklahoma City, Oklahoma 73112 j' U.S. Nuclear Regulatory i Commission Mr. Lawrence Burrell Washington, D. C. 20555 Route 1, Box 197 i (20 copies) Fairview, Oklahoma 73737 l Atomic Safety and Licensing Mr. Gerald F. Diddle
{ Board Panel General Manager U.S. Nuclear Regulatory Associated Electric Cooperative, 1 Commission Inc. I Washington, D. C. 20555 P.O. Box 754 l Springfield, Missouri 65801 1 Atomic Safety and Licensing
., Appeal Board Panel 'Ec. Maynard Hwman U.S. Nuclear Regulatory General Manager Commission' Western Farmers Electric 3 Washington, D. C.- 20555 Cooperative Box 429 P.O.
Thomas F. Englehardt, Esquire Andarko, Oklahoma 73005 L. Dow Davis, Esquire l 1 Mr. Vaughn L. Conrad William D. Paton, Esquire !
Colleen Woodhead, Esquire Public Service Company of ;
1 Counsel for NRC Staff Oklahoma !
I
! U.S. Nuclear Regulatory
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P.O. Box 201 i Commission Tulsa, Oklahoma 74102
- Washington, D. C. 20555 Mr. T. N. Ewing, Acting Director Joseph R. Farris, Esquire Black Fox Station Nuclear Project l John R. Woodard, III, Esquire Public Service Company of Green, Feldman, Hall & Woodard Oklahoma i 016 Enterprise Building Tulsa, Oklahoma 74102 i Tulsa, Oklahoma 74103 I Mr. M. J. Robinson Andrew T. Dalton, Esquire Black & Veatch 1437 South Main Street P.O. Box 8405 1 Room 302 Kansas City, Missouri 64114 I Tulsa, Oklahoma 74119 Mrs. Carrie Dickersor, Citizens Action fcr Safe l Energy, Inc.
P.O. Box 924 Claremore, Oklahoma 74107 l
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