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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20196G4021999-06-18018 June 1999 Comment on FRN Re Rev of NRC Enforcement Policy NUREG-1600, Rev 1 & Amend of 10CFR55.49.Concurs with Need to Provide Examples That May Be Used as Guidance in Determining Appropriate Severity Level for Violations as Listed ML20206H1881999-05-0606 May 1999 Exemption from Requirements of 10CFR50,App K Re ECCS Evaluation Models. Commission Grants Licensee Exemption ML20206M5111999-04-30030 April 1999 Comment Supporting Draft RG DG-1083 Re Content of UFSAR IAW 10CFR50.71(e). Recommends That Listed Approach Be Adopted for Changes to Documents Incorporated by Ref CY-99-007, Comment Supporting Proposed Changes to Improve Insp & Assessment Processes for Overseeing Commercial Nuclear Industry That Were Published in Fr on 990122 & in SECY-99-0071999-02-22022 February 1999 Comment Supporting Proposed Changes to Improve Insp & Assessment Processes for Overseeing Commercial Nuclear Industry That Were Published in Fr on 990122 & in SECY-99-007 TXX-9825, Comment Endorsing NEI Comments on Proposed Rulemaking to 10CFR50.65, Requirements for Monitoring Effectiveness at Npps1998-12-14014 December 1998 Comment Endorsing NEI Comments on Proposed Rulemaking to 10CFR50.65, Requirements for Monitoring Effectiveness at Npps ML20154C4101998-09-30030 September 1998 Comment Re Proposed Rule 10CFR50 Re Reporting Requirements for Nuclear Power Reactors.Comanche Peak Electric Station Endorses NEI Comment Ltr & Agrees with NEI Recommendations & Rationale ML20216E1051998-04-0707 April 1998 Comment Supporting Draft RG DG-1029 Titled Guidelines for Evaluating Electromagnetic & Radio-Frequency Interference in Safety-related Instrumentation & Control Sys ML20217H3611998-03-26026 March 1998 Comment Opposing Draft GL 97-XX, Lab Testing of Nuclear Grade Charcoal, Issued on 980225.Advises That There Will Be Addl Implementation Costs ML20198Q4851998-01-16016 January 1998 Comment Opposing PRM 50-63A by P Crane That Requests NRC Amend Regulations Re Emergency Planning to Require Consideration of Sheltering,Evacuation & Prophylactic Use of Potassium Iodide for General Public ML20211A4871997-09-12012 September 1997 Changes Submittal Date of Response to NRC RAI Re Proposed CPSES risk-informed Inservice Testing Program & Comments on NRC Draft PRA Documents ML20149L0311997-07-21021 July 1997 Comment on Draft Guides DG-1048,DG-1049 & DG-1050.Error Identified in Last Line of DG-1050,item 1.3 of Section Value/Impact Statement.Rev 30 Should Be Rev 11 ML20140A4871997-05-27027 May 1997 Comment Opposing Proposed Rule Re Safety Conscious Work Environ.Util Agrees W/Nuclear Energy Inst Comment Ltr ML20133G5411996-12-0505 December 1996 Transcript of 961205 Meeting in Arlington,Tx Re Comanche Peak Thermo-Lag Fire Barriers. Pp 1-111 ML20135B7881996-11-29029 November 1996 Order Approving Corporate Restructuring of TU to Facilitate Acquistion of Enserch Corp ML20128M8011996-10-0303 October 1996 Comment Opposing Proposed NRC Generic Communication, Primary Water Stress Corrosion Cracking of Control Rod Drive Mechanism & Other Vessel Head Penetrations ML20097D7321996-02-0909 February 1996 Comment Opposing Petition for Rulemaking PRM-50-63 Re CPSES Request for Amend to Its Regulations Dealing W/Emergency Planning to Include Requirement That Emergency Planning Protective Actions for General Public Include Listed Info ML20094Q6421995-11-28028 November 1995 Comment Supporting Petition for RM PRM-50-62 Re Amend to Regulation Re QAPs Permitting NPP Licensees to Change Quality Program Described in SAR W/O NRC Prior Approval If Changes Do Not Potentially Degrade Safety or Change TSs ML20094H4801995-11-0808 November 1995 Comment Supporting Nuclear Energy Inst Comments on Proposed Rules 10CFR60,72,73 & 75 Re Safeguards for Spent Nuclear Fuel or high-level Radwaste ML20091M6441995-08-25025 August 1995 Comment Opposing Proposed Rule Re Review of Revised NRC SALP Program.Believes That NRC Should Reconsider Need for Ipap or SALP in Light of Redundancy ML20086M7921995-07-0707 July 1995 Comment Supporting Proposed GL Process for Changes to Security Plan Without Prior NRC Approval ML20084A0181995-05-19019 May 1995 Comment Suporting Proposed Rule 10CFR50 Re Containment Leakage Testing.Supports NEI Comments ML20077M7311994-12-30030 December 1994 Comments Opposing Proposed Rule 10CFR50 Re Shutdown & Low Power Operations for Nuclear Power Reactors ML20077L8711994-12-22022 December 1994 Comment Supporting Proposed Rule 10CFR50,55 & 73 Re Reduction of Reporting Requirements Imposed on NRC Licensees ML20073B6731994-09-19019 September 1994 Affidavit of Cl Terry Re License Amend Request 94-015 ML20073B6951994-09-19019 September 1994 Affidavit of Cl Terry Authorizing Signing & Filing W/Nrc OL Amend Request 94-016 ML20058E0561993-11-10010 November 1993 Comment on Proposed Rule Re Staff Meetings Open to Public. Believes That NRC Has Done Well in Commitment to Provide Public W/Fullest Practical Access to Its Activities ML20056G3351993-08-27027 August 1993 Comment Opposing Proposed Rule 10CFR2 Re Review of 10CFR2.206 Process ML20045D8321993-06-11011 June 1993 Comment Supporting Proposed Rules 10CFR50 & 54, FSAR Update Submittals. ML20044F3271993-05-21021 May 1993 Comments on Draft NRC Insp Procedure 38703, Commercial Grade Procurement Insp, Fr Vol 58,Number 52.NRC Should Use EPRI Definitions for Critical Characteristics ML20056C0831993-03-19019 March 1993 Texas Utils Electric Co Response to Petitioners Motion to Stay Issuance of Full Power License.* Licensee Urges NRC to Reject Petitioners Motion & to Deny Petitioners Appeal of 921215 Order.Motion Should Be Denied.W/Certificate of Svc ML20056C1881993-03-17017 March 1993 Order.* Directs Util to Respond to Motion by COB 930319 & NRC to Respond by COB 930322.W/Certificate of Svc.Served on 930317 ML20128D9651993-02-0303 February 1993 Memorandum & Order.* Stay Request Filed by Petitioners Denied.W/Certificate of Svc.Served on 930203 ML20128F6221993-02-0303 February 1993 Transcript of 930203 Affirmation/Discussion & Vote Public Meeting in Rockville,Md.Pp 1-2.Related Info Encl ML20128D3391993-02-0202 February 1993 Emergency Motion to Stay Issuance of low-power Ol.* Petitioners Specific Requests Listed.W/Certificate of Svc ML20128D4651993-02-0202 February 1993 Texas Utils Electric Co Response to Emergency Motion to Stay Issuance of low-power Ol.* Petitioner Request Should Be Denied Based on Failure to Meet Heavy Burden Imposed on Party.W/Certificate of Svc ML20128D3461993-01-29029 January 1993 NRC Staff Notification of Issuance of OL for Facility.* Low Power License May Be Issued by 930201.W/Certificate of Svc ML20128D6321993-01-29029 January 1993 Memorandum & Order.* Denies Citizens for Fair Util Regulation for Fr Notice Hearing on Proposed Issuance of OL for Facility.W/Certificate of Svc.Served on 930129 ML20127L9321993-01-26026 January 1993 Affidavit of Re Architzel Re Thermo-Lag Installation at Testing for Unit 2.* Statement of Prof Qualifications Encl ML20128D6111993-01-26026 January 1993 Joint Affidavit of I Barnes & Ft Grubelich Re Borg-Warner Check Valves.* Discusses Issues Re Borg-Warner Check Valves Raised by Cfur & Adequacy of Actions Taken by TU Electric ML20127L9181993-01-26026 January 1993 NRC Staff Reply to Cfur Request for Publication of Proposed Action Re Licensing of Unit 2.* Cfur Request That Notice Re Licensing of Unit 2 Be Published Permitting Parties to Request Hearings Should Be Denied ML20127L9661993-01-26026 January 1993 Affidavit of Rl Pettis Re Borg-Warner Check Valves.* Statement of Prof Qualifications & Certificate of Svc Encl ML20127L9091993-01-25025 January 1993 Tx Util Electric Response to Citizens for Fair Util Regulation Request of 930113.* Request Fails to Raise Worthy Issue & Should Be Denied.W/Certificate of Svc ML20127L8891993-01-21021 January 1993 Order.* License Should File Response to Citizens for Fair Util Regulation Ltr Requesting That Commission Issue Fr Notice Providing for Opportunity for Hearing Re Issuance of OL by 930125.W/Certificate of Svc.Served on 930122 ML20127G9191993-01-19019 January 1993 Order.* Grants Petitioners Extension of Time Until 930122 to File Brief.Replies to Petitioners Brief Shall Be Filed on or Before 930208.W/Certificate of Svc.Served on 930119 ML20127G9441993-01-19019 January 1993 TU Electric Brief in Opposition to Petitioners Appeal of ASLB Memorandum & Order.* Requests That Petitioners Appeal Be Denied & Licensing Board 921215 Memorandum & Order Be Affirmed.W/Certificate of Svc ML20127G8041993-01-15015 January 1993 NRC Staff Response to Appeal of Licensing Board Decision Denying Petition for Leave to Intervene & Request for Hearing Filed by Bi & Di Orr.* Board 921215 Decision Should Be Upheld.Certificate of Svc Encl ML20127G7451993-01-14014 January 1993 NRC Staff Response to Motion of Petitioners RM Dow & SL Dow, (Disposable Workers of Comanche Peak Steam Electric Station),For Leave to File Out of Time & Request for Extension of Time to File Brief.* W/Certificate of Svc ML20127G7941993-01-12012 January 1993 Opposition of TU Electric to Motion for Leave to File Out of Time & Request for Extension of Time to File Brief by SL Dow (Disposable Workers of Comanche Peak Steam Electric Station) & RM Dow.* W/Certificate of Svc ML20127A5931993-01-0808 January 1993 Brief in Support of Petitioner Notice of Appeal.Aslb Erred by Not Admitting Petitioner Contention & Action Should Be Reversed.W/Certificate of Svc ML20127A6371993-01-0707 January 1993 Notice of Appeal.* Appeal Submitted Due to 921215 Memo Denying Petitioner Motion for Rehearing & Petition for Intervention & Request for Hearings.Proceedings Were Terminated by Aslb.W/Certificate of Svc 1999-06-18
[Table view] Category:OTHER LEGAL DOCUMENT
MONTHYEARML20128D3461993-01-29029 January 1993 NRC Staff Notification of Issuance of OL for Facility.* Low Power License May Be Issued by 930201.W/Certificate of Svc ML20127A5931993-01-0808 January 1993 Brief in Support of Petitioner Notice of Appeal.Aslb Erred by Not Admitting Petitioner Contention & Action Should Be Reversed.W/Certificate of Svc ML20127A6371993-01-0707 January 1993 Notice of Appeal.* Appeal Submitted Due to 921215 Memo Denying Petitioner Motion for Rehearing & Petition for Intervention & Request for Hearings.Proceedings Were Terminated by Aslb.W/Certificate of Svc ML20127A7461992-12-30030 December 1992 Appeal of ASLB Memorandum & Order.* Bi Orr & Di Orr Filed Notice of Appeal of Subj Memorandum & Order Issued by Board on 921215 ML20126F7241992-12-26026 December 1992 Petitioner Notice of Change of Address & Telephone Number.* W/Certificate of Svc ML20127M4341992-11-17017 November 1992 Notification of Addl Evidence Supporting Petition to Intervene Filed by B Orr,D Orr,J Macktal & Hasan.* Submits Newly Obtained Evidence Not Available to Petitioners as of 921005.Certificate of Svc Encl ML20101R3371992-07-13013 July 1992 Response to Tuec to Comments of Cajun Electric Power Cooperative,Inc ML20141M1031992-03-25025 March 1992 Comments of Cap Rock Electric Cooperative,Inc Re Significant Changes in Activity of Licensee Texas Utilities Electric Co That Warrant Antritrust Review Before Issuance of Ol ML20091D5351992-03-25025 March 1992 Comments of Cajun Electric Power Cooperative,Inc on Antitrust Info Filed by Texas Utilities Electric Co Per Reg Guide 9.3 ML20090C8711992-02-27027 February 1992 Change of Address & Telephone Number.* Informs All Parties to Action That Address & Telephone Number of Disposable Workers of Comanche Peak Steam Electric Station Has Been Changed as Listed ML20099E4851990-01-30030 January 1990 Amended Agreement Between Tex-LA Electric Cooperative of Tx, Inc & Texas Utils Electric Co ML20248J3801989-10-15015 October 1989 Declaration of L Burnam.* Discusses Settlement Awarded to Whistleblower Witnesses for Case ML20248J3471989-10-15015 October 1989 Declaration of B Brink.* Discusses Settlement Awarded to Whistleblower Witnesses for Case ML20248D5831989-08-0202 August 1989 Praecipe.* Notifies of New Address for Kohn,Kohn & Colapinto in Washington,Dc ML20236B7741989-03-10010 March 1989 Suppl to Comments & Reply Comments of Cap Rock Electric Cooperative,Inc.Info Re Util Need for Antitrust Review at OL Stage Encl ML20207C8021988-08-0909 August 1988 Comments of Cap Rock Electric Cooperative,Inc Re Significant Changes in Licensee Activity That Warrant Antitrust Review at OL Stage ML20151A5921988-07-12012 July 1988 Notice of Withdrawal.* Withdrawal as Attys of Record for Petitioners Citizens for Fair Util Regulation,Greater Fort Worth Sierra Club & Comanche Peak Citizens Audit Noted. Search for Replacement Counsel Unsuccessful ML20150E3051988-07-11011 July 1988 Notice of Withdrawal W/O Prejudice.* Withdraws J Doe as Potential Intervenor in Proceedings.W/Certificate of Svc ML20118B1951988-07-0505 July 1988 Agreement Between Brazos Electric Power Cooperative,Inc & Texas Utilities Electric Co Dtd 880705.W/Exhibits J Through O ML20154H6391988-05-20020 May 1988 Fr Notice (880601 Prehearing Conference).* Public Prehearing Conference Previously Scheduled for 880511 Rescheduled to 880601 in Dallas,Tx.Served on 880520 ML20154E5251988-05-0303 May 1988 Applicant Eleventh Progress Rept.* Rept Covers Period Mar-Apr 1988,per ASLB 860606 Order.Next Rept Will Be Submitted by 880630.W/Certificate of Svc.Related Correspondence ML20151Y5311988-05-0202 May 1988 Fr Notice (880511 Prehearing Conference).* Public Prehearing Conference for Conducting Oral Argument for Two Proceedings Re Plant Scheduled on 880511 in Dallas,Tx.Served on 880503 ML20151Y6031988-04-28028 April 1988 Case Identification of Piping/Pipe Support Issues.* Case Intends to Litigate Inadequacy of Collective Significance Rept,Collective Evaluation Rept,Root Cause Evaluation Repts Re Piping/Pipe Support Issues.Certificate of Svc Encl ML20151T7611988-04-26026 April 1988 Answers to Board 14 Questions Re Action Plan Results Rept (Memo;Proposed Memo of 860416) Regarding Action Plan Results Rept VII.a.9.* Answers Submitted Per Board 860414 Memorandum;Proposed Memorandum & Order.W/Certificate of Svc ML20151P9341988-04-22022 April 1988 Notice of Availability of Collective Significance Rept & Working Files.* Working Files for Collective Significance Rept Available at Stated Address.Certificate of Svc Encl. Related Correspondence ML20151P8301988-04-21021 April 1988 Notice of Availability of Issue Specific Action Plan Isap VII.a.9 Results Rept Working Files.* Working Files Available for Copying at Site.Certificate of Svc Encl.Related Correspondence ML20151P3361988-04-21021 April 1988 Answers to ASLB 14 Questions (Memo;Proposed Memo of 880414) Re Action Plan Results Report I.d.1.* Action Plan Results Rept I.d.1, QC Inspector Qualifications Encl.W/Certificate of Svc ML20148K2101988-03-28028 March 1988 Answers to ASLB 14 Questions (Memo;Proposed Memo of 860414) Re Action Plan Results Rept VII.b.3.* Certificate of Svc Encl ML20148G2481988-03-24024 March 1988 NRC Staff 10th Annual Progress Rept & Annotated Bibliography.* List of NRC Documents to Applicants & Certificate of Svc Encl ML20150D0501988-03-14014 March 1988 Case Tenth Progress Rept.* Provides Tenth Progress Rept,Per Board 860606 Memorandum & Order.Certificate of Svc Encl ML20196H9561988-03-10010 March 1988 Answers to Board 14 Questions (Memo;Proposed Memo of 860414) Re Action Plan Results Rept Ii.D.* Answers to Rept Re Control Room Ceiling.Supporting Documentation & Certificate of Svc Encl ML20147H8391988-03-0404 March 1988 Applicant Tenth Progress Rept.* Progress Rept Covers Period of 871225-880229,per Board 860606 Memorandum & Order.Next Rept Will Be Issued on 880429.W/Certificate of Svc ML20196G1421988-03-0303 March 1988 Notice of Availability.* Documents Ref in Project Status Rept Available for Review & Will Be Placed in Lpdr & Computer Link Between Lpdr & Util Data Base Established. Certificate of Svc Encl.Related Correspondence ML20147D7321988-03-0101 March 1988 Answers to Board 14 Questions (Memo;Proposed Memo of 860414) Re Action Plan Results Rept Vii.C.* Responses Provided to Action Plan Vii.C Re Const Reinsp/Documentation Review Plan. Supporting Documentation & Certificate of Svc Encl ML20149L9761988-02-19019 February 1988 Notice of Availability.* Rev 0 to Project Status Rept Re Instrumentation & Controls & Documents Ref in Rept Available for Review,Per ASLB Memorandum & Order .W/Certificate of Svc.Related Correspondence ML20149L9721988-02-19019 February 1988 Notice of Availability.* Rev 0 to Listed Project Status Rept (Psr) & Documents Ref in Psr Available for Review,Per ASLB Memorandum & Order .W/Certificate of Svc.Related Correspondence ML20149L9381988-02-19019 February 1988 Notice of Availability.* Notifies That Listed Project Status Repts (Psr) & Documents Ref in Such Psrs Available for Review.Certificate of Svc Encl.Related Correspondence ML20106B1601988-02-12012 February 1988 Agreement Between Texas Municipal Power Agency & Texas Utilities Electric Co Dtd 880212.W/Exhibits E & I Through M ML20196D2361988-02-10010 February 1988 Submits Notice of Change of Address & Requests That All Mail & Svc Lists Be Revised Accordingly.Certificate of Svc Encl IR 07100101/20120311988-02-0303 February 1988 NRC Staff Ninth Progress Rept & Annotated Bibliography.* Forwards Annotated Bibliography Rept of All NRC Documents to Applicants & Intervenors Re Project Indexed During 871101-1231.W/Certificate of Svc ML20148H9291988-01-26026 January 1988 Notice of Availability of Collective Evaluation Rept & Working Files.* Per Established Procedure & ASLB 871118 Memorandum & Order,Util Makes Working Files Available for Insp.Certificate of Svc Encl.Related Correspondence ML20148C9791988-01-21021 January 1988 Notice of Availability of Results Repts & Working Files.* Advises Az Roisman That Comanche Peak Response Team Senior Review Team Approved & Published Issue Specific Action Plans I.d.1 & VII.b.3.W/Certificate of Svc.Related Correspondence ML20195J0801988-01-20020 January 1988 Answers to ASLB 14 Questions (Memo;Proposed Memo of 860414) Re Action Plan Results Rept V.B.* Answers to Questions Re Action Plan V.B, Shortening of Anchor Bolts. Certificate of Svc Encl ML20195J0661988-01-20020 January 1988 Notice of Availability.* Notice of Project Status Rept Rev 0 to Equipment Qualification & Ref Documents in Rept Available for Review.Certificate of Svc Encl.Related Correspondence ML20147D7351988-01-15015 January 1988 Notice of Appearance.* RM Fillmore Will Appear as Counsel for Util in Proceeding.Certificate of Svc Encl ML20147D6001988-01-15015 January 1988 Notice of Appearance.* RM Fillmore Entered Appearance Re Facility.Certificate of Svc Encl ML20147B8711988-01-14014 January 1988 Supplemental Notice of Availability of Results Rept & Working Files.* Working Files of Results Rept Vii.C Will Be Made Available Onsite Upon 48 H Notice of Intention to Inspect.W/Certificate of Svc.Related Correspondence ML20147D6721988-01-12012 January 1988 Case Progress Rept.* Submits Progress Rept Per Board 860606 Memorandum & Order.Case Interested in Util Filing W/Security Exchange Commission & Reported Settlement W/Gibbs & Hill. Newspaper Articles Encl.W/Certificate of Svc ML20147B9671988-01-0707 January 1988 NRC Staff Eighth Progress Rept & Annotated Bibliography.* Progress Rept in Response to ASLB 860606 Order.W/ Certificate of Svc ML20238D0741987-12-30030 December 1987 Applicant Ninth Progress Rept.* Progress Rept Covers Period of 871026-1225 Submitted Per Board 860606 Memorandum & Order (Progress Rept & Notice of Available Documents). Next Rept Will Be Issued on 880229.W/Certificate of Svc 1993-01-08
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1 (SOS s
T DOCKETED U$tifpril 16, 1984 UNITED STATES OF AMERIC Am 17 A9 08 NUCLEAR REGULATORY COMMISSION
( ' r 7 H CFt .'A BEFORE THE ATOMIC SAFETY AND LICENSING 1BOARDi In the Matter of )
)
TEXAS UTILITIES ELECTRIC ) Docket Nos. 50-445 and COMPANY, -et_al. ) 50-4461 (Comanche Peak Steam Electric ) ( Applica tion for Operating Station, Units 1 and 2) ) Licenses)
APPLICANTS' ANSWER TO CASE'S MOTIONS -
REGARDING BOARD'S 3/15/84 MEMORANDUM
' I. INTRODUCTION l :.-
Pursua n t to 10 C.F.R. $ 2.730(c), Texas Utilities Electric Company, et al. (" Applicants") hereby submit their answer to CASE's April 2, 1984, " Motions Regarding Board's 3/15/84 i
. Memorandum (Clarification of Open Issues)." In addition, Applicants also provide their response to a question posed by the Board in a conference call with the parties on April 9, 1984.
II. APPLICANTS' ANSWER"TO CASE'S MOTIONS l
CASE makes a series of motions and requests, denominated 1 through-18 (see CASE Motion at 19-23), which pertain to several l
[
decisions of the Board regarding the scheduling and litigation of
- outstanding issues set forth in its March 15, 1984, Memorandum.
l .Because CASE's motion concerns, in part, the intimidation l issue, Applicants also will serve Judge Grossman with this answer.
8404170535 840416 }
PDR ADOCK OSO 4y ;
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. - - , - . . - - - - . ~ _ . . . - , .- . . . . - . - . - . - . - . . .-
o j . 9' l-i In large measure CASE's motions and requests concern the j scheduling of various submittals Applicants and the Staff have been asked by the Board to provide. Pursuant to the Board's request in an April 9, 1984, conference call, Applicants transmitted on April 13, 1984, a schedule for providing these and other submittals. Thus, Applicants have already responded to i
this aspect of CASE's motion. Applicants respond below,
! seriatim, to each numbered item in CASE's motion, tracking the numbered motions / requests of ' CASE.
- 1. CASE moves that Applicants be required to provide by -
April 17, 1984, information regarding the reinspection of the
_ polar crane' shima (CASE Motion at 19). Applicants submitted this n information on April 9, '1984. ,.
~
- 2. CASE moves that Applicants be required to provide to l
CASE, by affidavit, the-evidence on which Applicants relied in providing the preliminary results of the paint reinspection f
program. By letter dated April 13, 1984, . Applicants informed the Board and parties . that this information would be filed on April
[ 19, 1984.
t i 3. and 4. These. items. relate to NRC Staff documents.
i Accordingly,- Applicants do not address this portion of CASE's
' Motion.
l i 5. CASE' moves that Applicants be required 'to provide the infdrmation requested by the Board in its January 30, 1984, Memorandum -(Records Retrieval) by May 8, 1984, or,'in the alternative, provide an estimate of when' this material will be I presented (CASE Motion at 20-21). By letter dated April'13, e
-- 3 ---,,._,.,+,~..u4.u_ ~. g . , . , - - . w- 4 .- ..r% i- m, -
w_p-_e-r_,. ..,_ .. y
-{ !- 1984, Applicants indicated this information would be submitted in l approximately six weeks. Applicants intend to provide a thorough I
report regarding the records system at Comanche Peak which will t-be fully responsive to the Board's concerns raised in its he mo ra ndu m. Further action by the Board on this matter is unnecessa ry.
j 6. This request relates to NRC Staff documents.
Accordingly, Applicants do not address this portion of CASE's motion.
- 7. CASE moves that Applicants be required to submit their -
f response, or a schedule for their response, to the Board's Partial Initial Decision regarding A500 steel by April 17, 1984.
- Applicants filed their response on April 11, 1984. .Accordingly, ,-
j no action is required by the Board on this aspect of CASE's motion.
{
CASE moves that the. Board order Applicants and the NRC 8.
! Staff to file.a schedule, by May 15, 1984, for the completion of various reports that will be employed in future: hearings.
i (Motion at 21. ) CASE does not, however, specify which reportsuit is addressing. Thus, Applicants are unable tofrespond to specific items to which CASE may be referring. However, as i
previously noted, Applicants filed a schedule for submission of l
information requested by the Board regarding a number .of matters
- (see Applicants' -letter of April 13, 1984). Thus, CASE's. motion c.
in this regard, at l' east with respect to. Applicants, uppears to.
j raise a moot question. In any event, Applicants agree that a I -
( . reasonable schedule should be established regarding matters i
s'
g necessary for completing litigation of the remaining issues in the proceeding. Accordingly, we do not object to the development of a schedule for submission of information, if it is accompanied by a schedule for litigation of outstanding issues. We urge the Board to so find, and to request that the parties submit detailed schedules for litigation of outstanding issues.
- 9. CASE moves the Board to reconsider its conclusion that the only testimony of undue pressure on craftspeople is from the Stiners. Applicants oppose this request. It is Applicants' position that allegations of intimidation of craft should not be '
heard except in circumstances where it can be shown that the alleged intimidation had an actual impact on the final product of safe ty-related work. The QA/QC inspection program will discover ;'
and correct any alleged inadequacies in the work product of craft. It is for this reason that the issue of intimidation should be limited to QC personnel except where it is shown that
. 1) the result of alleged craf t intimidation is materially defective workmanship which, if'not corrected, would adversely af fect plant safety and 2) the alleged materially defective workmanship af fecting plant safety has not been revealed and properly disposed of by the operation of-Applicants';QA/QC program. In short, if the QA/QC program is found to be effective, virtually all allegations of craf t intimidation would be irrelevant to a ' decision as to the quality of the ultimate work product.
f In any event, Applicants believe that further clarification on this subject should await Applicants' submittal of a proposed standard for judging the intimidation issue.
Accordingly, the Board should deny CASE's motion in this regard, pending adoption of that standard.
- 10. CASE requests that the Board reconsider its decision to close the issue of intimidation with respect to craft.
Applicants oppose this request for the reasons stated in paragraph 9. Semantic shadings of concepts such as " dis-couragement" and " worker morale" will be covered by Applicants in- -
their response to the Board's request for a standard to judge the generic issue of intimida tion. Accordingly, as with the l preceding item, the Board should deny CASE's motion, pending ;.
establishment of that standard.
- 11. CASE seeks clarification of the Board's conclusion I regarding the evidentiary status of Mr. Hamilton's dismissal. We understand the Board's statement to mean that the legal l l
significance, if any, of the dismissal of Mr. Hamilton has not j yet been decided. Further consideration of the legal significance of the dismissal of Mr. Hamilton should await the Board's adoption of a standard for judging instances of alleged intimidation and presentation of evidence in light of that i
s ta nda rd.
- 12. CASE requests that litigation of Mr. Stiner's dismissal be deferred pending release of the Of fice of Investigation's I
Report on Intimida tion. Applicants oppose this request. Trial of the issue of " intimidation" cannot be further delayed.
l 1
-n
g Applicants have filed a motion for a cut-off date with resrect to allegations of intimidation. CASE should prepare now its evidence on this issue without awaiting further OI reports. (See also Response to Item 13.)
- 13. CASE asks the Board to reconsider its decision to proceed to litigate intimidation issues prior to the completion of OI investigation reports. Applicants oppose this request. As we have indica ted, Applicants believe that the trial of this issue should not be further delayed pending completion and receipt of OI investiga tion reports. OI has already stated that it cannot predict when its investigations will be complete, indica ting that it may not complete all investigations prior to Fall 1984. Awaiting completion of those investigations before ..-
litigating this issue obviously is unacceptable if the Board is to reach a decision prior to Applicants' scheduled fuel load date. In any event, CASE has not demonstrated that it would be unable to litigate the intimidation issue without the OI Reports.
Accordingly, the Board should deny CASE's motion.
- 14. CASE seeks to have the Board reconsider its determination that parties need not profile testimony regarding intimidation, but only with respect to Applicants and the NRC Staff. Applicants oppose this request. It is Applicants' position that orderly trial on this issue requires that CASE first establish, if it can, that there has been a practice of discouraging the reporting of nonconforming cc: ditions, which practico undermines the effectiveness of the QA/QC program. Only after CASE has so demonstrated will Applicants be able tu respond
f
( l in detail to CASE's allegations. In any event, further consideration of this matter should await a decision as to 1) what the standard is by which specific allegations presented by CASE are to be judged and 2) whether a practice has been established. At that time it may well be that specific matters discussed in previously filed affidavits or testimony of CASE's t
witnesses will be subject to summary disposition, depending on the standard adopted by the Board.
, 15. CASE moves that the Board reconsider its decisions that l the only evidence of record regarding the qualifications of.
quality assurance supervisory personnel is in the context of the CAT Report and in the testimony of Mrs. Stiner (Motion at 23).
i CASE identifies two instances in which it believes the record ;.-
reflects additional evidence on this matter. ,
' ~
First, CASE cites to testimony oil Mr. Hamilton concerning disagreements - between himself and his supervisors regarding inspection findings. This specific allegation was addressed and disposed of in the Board's July 28, 1983, Proposed j Initial Decision (Concerning aspects of_ construction quality.
. control, emergency planning and Board questions), at . 23.- CASE did not object to-the Board's disposition of this allegation when-it had the opportunity-to do so (see " CASE's Object. ions to 4
' Licensing Board's Proposed Initial Decision," August 27, 1983,'at-16-17). . Thus, ' CASE should not be permitted to attack now the r
Board's' resolution of this matter, particularly given that CASE failed to pose a timely objection to the Board's original decision. The Board should deny CASE's motion in this regard.
_ . , . _ . ~ . _. . _ ._ _ _ _ ._. ,
e p ,
The second example which CASE cites regarding "eviderce" of unqualified supervisory personnel is a limited appearance i s ta tement of Mr. Bronson. We first note that limited appearance a
statements are not evidence. Iowa Electric Light & Power Company l
- (Duane Arnold Energy Center), ALAB-lO8, 6 AEC 195, 196 n.4
! (1973). Consideration of Mr. Bronson's statement as evidence is not, therefore, permitted. In any event, the statements of Mr.
Bronson referenced by CASE contain nothing more than general I
expressions of dissatisfaction on his part with his supervisors.
3 There are no allegations of specific deficiencies in the requiredf -
qualifications of any supervisory personnel. Thus, there is no
- basis for consideration of this ma terial. Accordingly, the Board ,
I
' should deny CASE's motion with respect-to Mr. Bronson's ;c-s ta teme n t.
- 16. CASE moves that the Board revise its Memorandum to
- - reflect what it believes'is
- another instance of " reverse classification". In this regard,fCASE cites to Mr. Hamilton's-testimony regarding an instance of declassification of items from a safe ty to non-safe ty category. .Such. declassification is._not
(
with'in the scope of the allegation regarding reverse
~
classification, and, thus, is not an additional example of that practice as CASE alleges. 'Accordingly,.the' Board should deny CASE's motion on this matter.
- 17. CASE moves that.the Board revise its Memorandum to-
" recognize that CASE may supplement its expected findings ' of' i
fact" on the issue of trending. - (Motion at 23).- Applicants do
! not dispute that CASE should supplement . its - expected findings a
s
'; _9_
regarding this matter. Applicants believe CASE should be required to do so. If relevant additional information is disclosed during hearings subsequent to CASE's filing of its expected findings, such supplementation should be accomplished in accordance with the Board's directive that it be done shortly af ter the conclusion of the hearing session at which such supplementary information is developed. Accordingly, Applicants do not oppose CASE's motion in this regard and urge the Board to require CASE to so supplement its expected findings.
- 18. CASE moves the Board to permit CASE to provide additional information regarding allegations of Mr. Messerly.
Applicants oppose this motion. CASE has had, but failed to take advantage of, numerous opportunities to present specific L-information regarding these allegations. As the Board notes in its Memorandum, CASE was given the' opportunity to conduct on-site discovery to identify unsatisfactory construction activities, l including those related to Mr. Messerly's allega tion, but declined to do so. Further, as Applicants discussed in their' l
l reply to CASE's identification of issues to the Board on this l
l ma tter (January 30, 1984), a t 20-21, CASE twice submitted pleadings regarding Mr. Messerly's allegations but failed to provide sufficient justification for the Board to permit I' litigation of these allegations. CASE further addressed this l
l question in its December 22, 1983, pleading regarding identification of outstanding issues. In none of these instances L did CASE provide the specification necessary to warrant further l
inquiry in the proceeding. In short, CASE is seeking'a fifth L
I opportunity to convince the Board that this matter should be litigated. The Board correctly disposed of this matter in its Memorandum and should not afford CASE yet another opportunity to inject this matter into the proceeding. Accordingly, the Board should deny CASE's motion.
Finally, the Board requested that Applicants address in this pleading the subject matter of procedures for dealing with confidentiality of various potential witnesses. Applicants believe that resolution of this question should await disposition of other matters presently or soon to be before the Board and -
parties. First, Applicants will shortly file a motion seeking to obtain the names of confidential sources interviewed by OI.
Second, Applicants have filed interrogatories with CASE seeking ,
to obtain the names of all CASE witnesses. It is apparent, that at least in major part, the names of potential CASE witnesses have already been revealed. OI Report 4-84-006, which was released to the parties on April 3, 1984, contains in full the names of 24 persons provided by CASE to OI in August of 1983 in connection with the issue of " intimidation". Thus, to the extent that there may be additional witnesses not previously revealed
L
- [ for whom CASE or OI seeks some form of protection, that subject should be addressed in that context. Accordingly, Applicants believe the Board should await the results of these efforts before taking further action in this area.
Respectfully submitted, S ,
's L L. %
Nicholas S. Reynolds Leonard W. Belter William A. Horin counsel for Applicants BISHOP, LIBERMAN, COOK,
- . PURCELL & REYNOLDS .
- 1200 Seventeenth Street, N.W.
20036 Washington, D.C.
(202) 857-9817 ;. -
April 16, 1984 I
L 4
1 00tKETED UYitT T4 AM117 A9:08 UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION 3 y S R F.t U c .
BEFORE THE ATOMIC SAFETY AND LICEt1SINGlitCM[)"VU a n ,. n w In the Matter of )
)
TEXAS UTILITIES ELECTRIC ) Docket Nos. 50-445 and COMPANY, et al. ) 50-446 (Comanche Peak Steam Electric ) (Application for Station, Units 1 and 2) ) Operating Licenses)
CERTIFICATE OF SERVICE I hereby certify that copies of the foregoing " Applicants' Answer to CASE's Motions Regarding Board's 3/15/84 Memorandum" in the above-captioned matters were served upon the following persons by overnight delivery ( * ), or deposit in the United '
States mail, first class, postage prepaid, this 16 th day of April, 1984, or by hand delivery (**) on the 17th day of April, 1984. ..
** Peter B. Bloch, Esq. Chairman, Atomic Safety and Chairman, Atomic Safety and Licensing Appeal Panel Licensing Board U.S. Nuclear Regulatory U.S. Nuclear Regulatory Commission Commission Washington, D.C. 20555 Washington, D.C. 20555 Mr. William L. Clements
*Dr. Walter H. Jordan Docketing & Service Branch 881 West Outer Drive U.S. Nuclear Regulatory Oak Ridge, Tennessee 37830 Commission Washington, D.C. 20555
*Dr. Kenneth A. McCollom .
Dean, Division of Engineering Architecture and Technology **Stuart A. Treby, Esq.
Oklahoma State University Office of the Executive Stillwater, Oklahoma 74074 Legal Director U.S. Nuclear Regulatory Mr. John Collins Commission Regional Administrator, Washington, D.C. 20555 Region IV U.S. Nuclear Regulatory Chairman, Atomic Safety and Commission Licensing Board Panel 611 Ryan Plaza Drive U.S. Nuclear Regulatory Suite 1000 Commission Arlington, Texas 7 6011 Washington, D.C. 20555
t.
I 1
l Renea Hicks, Esq. *Mrs. Juanita Ellis Assistant Attorney General President, CASE i Environmental Protection 1426 South Polk Street Division Dallas, Texas 7 5224 P.O. Bo:t 12548 1 Capitol Station ** Ellen Ginsberg, Esquire I Austin, Texas 78711 Atomic Safety and Licensing Board Panel Lanny A. Sinkin U.S. Nuclear Regulatory j 114 W. 7th Street Commission Suite 220 Washington, D.C. 20555 Austin, Texas 7 8701
!!crbert Grossman, Esquire i Administrative Judge, Atomic Safety and Licensing Board p U.S. Nuclear Regulatory \ ,
Commission . M
; Washington, D.C. 20555 William A. Horfn' '
l I
cc Homer C. Schmidt Robert Wooldridge, Esq.
David R. Pigott, Esq.
I i
l l
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